PCC Advocates for Stronger Organic Regulations

October 5, 2020

PCC submitted comments on the National Organic Program’s (NOP) Strengthening Organic Enforcement (SOE) proposed rule, aimed at addressing the issue of organic fraud and improving the integrity of the organic supply chain.

The SOE proposed rule would update and modernize the organic regulations to reduce opportunities for fraud and improve oversight and enforcement in the organic supply chain. The rule would implement the most significant changes since the publication of the original federal organic regulations in 2000.

In addition to providing our own comments, PCC also contributed and signed on — as a full member — to the extensive comments submitted by the National Organic Coalition (NOC). Read NOC’s SOE Comments.

Overall, PCC supports the objectives of the SOE to provide better clarity and systems to prevent fraud in the organic supply chain. However, as a certified organic retailer PCC also made several recommendations on how the SOE rule could strengthen organic integrity even more, including reducing the amount of exempted operations, broadening to scope of the “handle” and “handling” definitions to include more entities, shortening the time frame allowed for submission of import certificates, and requiring labeling on more types of storage and transport containers.

Read PCC’s full comments on the SOE rule here.

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Support for Continuous Improvement in Organic

PCC has publicly endorsed the Continuous Improvement and Accountability in Organic Standards (CIAO) Act, developed by the Organic Trade Association in collaboration with members of congress.

Support of Federal Funding for Climate and Agriculture

PCC joined over 400 businesses and organizations in a letter to congress, urging a robust investment from potential infrastructure funding towards making agriculture more resilient and equitable, and achieving the goal of negative emissions.

Conservation, COOL & Farm to Cafeteria support

Letter urges U.S. Senators Patty Murray and Maria Cantwell to support these programs.

PCC Advocates for Stronger Organic Regulations

October 5, 2020

PCC submitted comments on the National Organic Program’s (NOP) Strengthening Organic Enforcement (SOE) proposed rule, aimed at addressing the issue of organic fraud and improving the integrity of the organic supply chain.

The SOE proposed rule would update and modernize the organic regulations to reduce opportunities for fraud and improve oversight and enforcement in the organic supply chain. The rule would implement the most significant changes since the publication of the original federal organic regulations in 2000.

In addition to providing our own comments, PCC also contributed and signed on — as a full member — to the extensive comments submitted by the National Organic Coalition (NOC). Read NOC’s SOE Comments.

Overall, PCC supports the objectives of the SOE to provide better clarity and systems to prevent fraud in the organic supply chain. However, as a certified organic retailers PCC also made several recommendations on how the SOE rule could strengthen organic integrity even more, including reducing the amount of exempted operations, broadening to scope of the “handle” and “handling” definitions to include more entities, shortening the time frame allowed for submission of import certificates, and requiring labeling on more types of storage and transport containers.

Read PCC’s full comments on the SOE rule here.

Related reading

Fall 2022 Comments to NOSB

PCC submitted written comments for the fall 2022 meeting of the National Organic Standards Board (NOSB), the U.S. Department of Agriculture (USDA)’s advisory committee to the National Organic Program (NOP).

Comments to various NOSB committees

Comments to the National Organic Standards Board on poultry living space and ammonia limits; additives carrageenan, inositol and choline; use of solvents.