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Health
Scientific Committees
Scientific Committee on Plants
Outcome of discussions
Genetically modified organisms
Opinion of the
Scientific Committee on Plants on the Genetically Modified
Maize Lines Notified by the Novartis Company
(NOTIFICATION C/GB/96/M4/1)
(Submitted by the Scientific Committee
on Plants, 10 February 1998)
1. TITLE
Application for consent to place on the
market genetically-modified maize with
Btk resistance to
Lepidoptera and herbicide tolerance to glufosinate
ammonium (
Bt11). Notification C/GB/96/M4/1.
2. TERMS OF REFERENCE
The Scientific Committee on Plants is
asked to consider whether there is any reason to believe
that the import and processing of hybrid seeds derived from
the
Bt11 event is likely to cause any adverse effects on
human health and the environment. This request does not
cover the cultivation of hybrids or lines within the
European Community (EC) containing the
Bt11 event in their genome. Cultivation of such
material in the EC requires additional risk assessment by
the Committee.
3. BACKGROUND
Directive 90/220/EEC requires an
assessment to be carried out before a product containing or
consisting of genetically modified organisms (GMOs) can be
placed on the market. The aim of the assessment is to
evaluate any risks to human health and the environment
connected with the release of the GMOs.
Following the entry into force of the
Regulation on Novel Foods and Novel Food Ingredients (EC
No. 258/97) on 15 May 1997, in order for this maize seed
and its derived products to be placed on the market for
food purposes, the requirements of the Regulation will have
to be satisfied. Such a regulation does not exist on Novel
Feeds and Novel Feed Ingredients.
Applications for release of insect
protected maize under Directive 90/220/EEC have been made
by the applicant in Europe (reference n°
B/F/94.01.06 ; B/F/95.01.03 ; B/It/95.16 ;
B/F/95.12.04 ; B/It/96.13).
The Animal and Plant Health Inspection
Service (APHIS) of the USDA published positive conclusions
in the Federal Register Vol. 61 N° 19 on 29 January 1996
(pp 2789-2790) by declaring that
Bt11 and any progeny derived from hybrid crosses
with other non-transformed corn varieties will be just as
safe to grow as traditionally bred corn lines that are not
regulated under 7CFR part 340.
4. PROPOSED USES
Import of hybrid seeds of insect
protected maize and its use for processing and marketing
for food and feed usages.
5. DESCRIPTION OF THE PRODUCT
The pollen of maize plants (
Zea mays L.) derived from transformation event
Bt11 was used to pollinate the female flowers of an
inbred corn line. Descendants of the initial crossings have
been successively back-crossed to evaluate different maize
lines carrying the
Bt11 event. Hybrid lines were produced. The maize
grains which is the subject of this application for consent
are produced from these hybrid lines and are therefore
descended from the initial
Bt 11 transformation event.
6. OPINIONS OF THE COMMITTEE
6.1. Molecular/Genetic Aspects
6.1.1.
Transformation Technique: The genetic construct was
introduced into protoplasts without a DNA carrier. Plants
were then regenerated.
6.1.2.
Vector Construct: The
Bt11 transformation event has been obtained using
plasmid pZO1502 containing the following components
- a truncated synthetic
cry 1A(b) gene encoding
Btk endotoxin. It also contains a synthetic
pat gene (to allow transformant selection on
glufosinate ammonium). 35S CaMV is the promoter,
nos 3termination sequences are included and introns
IVS 2 or IVS 6 are incorporated to enhance
expression.
- the plasmid pZO1502 contains the
ampR gene used as selectable marker when the plasmid
was generated in
E. coli.
- DNA from the well characterised
plasmid pUC18 including portions of the
lac
Z and
lac i genes and a segment of 1079 bp containing the
bacterial origin of replication,
ori .
- Small pieces of DNA containing useful
restriction endonuclease sites, inserted and used to
combine the various components above.
6.1.3.
Transgenic Construct in the Genetically Modified
Organism: The plasmid vector pZO1502 DNA was treated
with the restriction endonuclease
NotI in order to remove the
ampR gene from the larger DNA fragment which
contained the
Btk gene fusion and
pat gene fusion. This mixture of DNA fragments was
then used to transform maize tissue.
The larger fragment contains the
following :
1) the
pat gene fusion (35S promoter - IVS 2 intron - PAT
protein coding region -
nos termination sequence), which allows production
in plants of the PAT enzyme for resistance to the
herbicide, glufosinate.
2) the
Btk gene fusion (35S promoter - IVS 6 intron -
Btk HD-1 protein coding region -
nos 3 termination sequence), which allows
production in plants of the
Btk protein to protect the plant from damage by
larvae of European Corn Borer.
3) DNA, totalling about 1,400 bp, and
including a bacterial origin (
ori) of replication, from the well characterised
plasmid, pUC18.
4) small pieces of synthetic DNA,
totalling about 120 bp and containing useful restriction
endonuclease sites ; inserted and used to combine the
various components above.
The smaller fragment from the
Not1 digestion of pZO1502 contains the
ampR gene. Southern blot and PCR analyses have shown
that lines derived from the initial
Bt11 event do not carry the
ampR gene. Thus, an antibiotic resistance gene is
not present in the
Bt11 event, nor in the maize grain or grain products
produced from them. The
Btk gene fusion and
pat gene fusion are stabily integrated as a single
copy at a single locus in the long arm of chromosome
8.
6.2. SAFETY ASPECTS
6.2.1.
Potential for gene transfers: Antibiotic (ampicillin)
resistance gene
ampR gene was used in the construction of the
vector. Before the final transformation event it was,
however, removed from the plasmid by cutting with a
restriction endonuclease. Consequently, the resulting
GM-plant does not contain the
ampR gene.
pat gene The gene is under the
control of a plant promoter which is not functional in
bacteria. Consequently, in the unlikely event of
transformation, its expression would not occur. Even if,
due to genetic recombination, the gene would be expressed
in intestinal micro-organisms or in human or animal cells,
the probability of which is remote, no negative effects are
expected because the only known substrate of
phosphinothricin acetyltransferase (PAT) is the herbicide
glufosinate ammonium.
6.2.2.
Safety of the gene product/metabolites (food and
feed)
Safety of gene products : Grain
produced from the
Bt11 event contains
Btk protein within a range of 5-25 mg/g fresh
weight. PAT protein is present at around 80 ng/g fresh
weight. Toxicity has been assessed on the residual core
protein in rats. The weight of evidence provided by the
company and available elsewhere leads the Committee to
conclude that there is no significant risk to humans or
livestock following ingestion of gene products. PAT and
Btk proteins are labile in
in vitro assays with gastric juice of farm animals.
Widespread use of natural
Btk insecticides has not produced evidence of
allergenic responses. Similarly no allergenic effect is
predicted by comparing the new proteins (
Btk and PAT) with the structure of known allergenic
proteins. However, the Committee is of the opinion that the
often applied
in vitro methodology to study the degradability of
the
Btk toxin (and phosphinotricin acetyl transferase)
can be improved. In particular the use of the isolated
protein in toxicity studies does not adequately model
degradation of the same protein when fed as an integral
component of the diet.
Residue assessment: The principal
residue identified in transgenic maize plants after
post-emergence use of glufosinate ammonium was
N-acetyl-glufosinate with lesser quantities of glufosinate
and 3-methylphosphinico-propionic acid (MPP) which is also
found in non-transgenic plants. In maize grain, which
exhibits much lower residues than the other plant parts,
the principal residue identified was MPP with lesser
amounts of N-acetyl-glufosinate. In maize grain only 5% of
about 300 samples analysed in US-trials exhibited residues
³ 0.05 mg/kg.
The glufosinate-derived residues do not
concentrate in any maize processed fraction which are
relevant food or feed items. These include flour, starch,
grits and oil. Residues are not detectable in crude and
refined oil.
In ruminant and poultry feeding studies
no detectable residues were found in meat, milk or eggs at
the dose calculated to represent the highest residues in
livestock feed under Good Agricultural Practice and taking
into account the potential use of glufosinate herbicide in
several tolerant crops.
It can be concluded, on the basis of the
available data, that residues of glufosinate ammonium and
its metabolites, N-acetyl-glufosinate and
3-methylphosphinico-propionic acid expressed as glufosinate
free acid equivalents, will be below 0,2 mg/kg in imported
field maize grain, the time-limited tolerance set by the US
EPA (Federal Register vol. 62, n°24 p 5333, 1997). In food
of animal origin from livestock animals fed with feedstuffs
after application of glufosinate herbicide in tolerant
maize no residues above the limit of determination are to
be expected.
6.2.3.
Substantial equivalence: Compositional analysis on
seeds harvested from trials at a number of locations within
the U.S. provided data on oil content, fatty acid
composition, fibre and starch content and amino acids
profiles. The composition of the genetically modified
plants fall within the range observed for non-GM-plants and
isogenic control varieties. On the basis of substantial
equivalence it can be concluded that grain or products
derived from imported grain harbouring
Bt11 event would be safe for food use.
6.3. ENVIRONMENTAL ASPECTS
6.3.1.
Potential for gene escape/gene escape: Since the
maize will not be grown in the EC, the only potential
release is by spillage of grain during transport or
processing. In the unlikely event of spilled grain becoming
established,
Zea mays is not invasive but is a weak competitor
with limited powers of seed dispersal. There are no closely
related wild plants in Europe. In areas free from winter
frost which will kill residual plants, any subsequent
volunteer plants may be controlled by cultivation and the
use of non-selective herbicides. The risks of spread of the
genetic traits are considered minimal.
6.3.2.
Treatment of volunteers: Since this maize will not
be cultivated in the EC, volunteers in following crops are
not a potential problem.
6.3.3.
Safety of non-target organisms: In view of the
minimal risk of exposure (above) and the non-toxicity of
any spilled grain to vertebrates, the risk to non-target
and beneficial species in the environment from the proposed
use of modified maize is considered remote.
6.3.4.
Resistance and tolerance issues:Since this maize
will not be cultivated within the E.U. and is extremely
unlikely to escape, potential problems of
Btk-resistance do not exist.
7. OVERALL ASSESSMENT
The import of genetically-modified maize
seed (notification C/GB/96/M4/1) carrying the
Bt11 event can be considered as safe as utilising
seed from non-genetically modified plants.
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