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Health
Scientific Committees
Scientific Committee on Plants
Outcome of discussions
Genetically modified organisms
Opinion of the
Scientific Committee on Plants regarding submission for
placing on the market of fodder beet tolerant to glyphosate
notified by DLF-Trifolium, monsanto and danisco seed
(notification C/DK/97/01) (Opinion expressed by SCP on 23
June 1998)
1. Title
Application for consent to place on the
market of fodder beet tolerant to the herbicide glyphosate
(Notification C/DK/97/01).
2. Terms of reference
The Scientific Committee on Plants is
asked to consider whether there is any scientific reason to
believe that the placing on the market of genetically
modified fodder beet tolerant to glyphosate with the
purpose to be used as any other fodder beet is likely to
cause any adverse effects on human health and the
environment.
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. For genetically
modified plants, the assessment must be based on the
information outlined in Annex II B of Directive 90/220/EEC
and take account of the proposed uses of the
product.
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 fodder beet
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.
The evaluation of the herbicide
glyphosate and its metabolite AMPA (aminomethylphosphonic
acid) is in progress under Directive 91/414/EEC. Maximum
residue levels (MRLs) for residues of glyphosate in
products of animal origin were already set in the Council
Directive 93/57/EEC. These MRLs and the possible effect of
herbicide residues on human and animal health have to be
reviewed in the framework of the mentioned evaluation under
Directive 91/414/EEC.
4. Proposed uses
The product that is the subject of this
application is seeds and beet of glyphosate tolerant
Roundup Ready
® (RR) beet varieties (
Beta vulgaris) and seeds and beet of any progeny
derived from line A5/15 by conventional breeding. The
application includes the production of Roundup Ready
® (RR) fodder beet in the European Union as well
as processing, feed use, and any other uses of the derived
products.
5. Description of the product
The product consists of fodder beet (
Beta vulgaris L
. sp.
vulgaris) transformed using the
Agrobacterium tumefaciens vector system based on
plasmid pMON17204 to introduce the
cp4
epsps gene (derived from
Agrobacterium sp. strain CP4) into fodder beet.
Transformed line A5/15 tolerant to glyphosate expresses
only one new protein CP4 EPSPS (5-
enolpyruvylshikimate-3-phosphate synthase) which is
tolerant to glyphosate and thereby confers tolerance to
Roundup Ready
® herbicide on the fodder beet.
6. Opinions of the committee
6.1. Molecular/Genetic Aspects
6.1.1. Transformation technique: Based on the
information provided, a disarmed
Agrobacterium tumefaciens plant transformation
system was used to produce A5/15 from a proprietary line
DP15 which is a yellow diploid multigerm fodder beet
pollinator. Detached cotyledons were cocultivated with a
disarmed
Agrobacterium tumefaciens and placed on selection
medium containing glyphosate. After subcultivation and
rooting, transformed plantlets were transferred to the
greenhouse.
6.1.2 Vector constructs: The plant transformation
vector pMON17204 used is a disarmed
Agrobacterium tumefaciens binary vector containing
four genes between the left and right borders. The vector
also contains a bacterial selectable marker gene (
aad;
Tn7 AAD3" adenyltransferase; Sp
R and Str
R) located outside the borders. pMON17204 has
been characterised at the nucleotide sequence level and
comprises 15755 bp.
The genetic elements present between the
right and left borders are well characterised and
include:
(i) The
cp4
epsps gene cassette consisting of the figwort mosaic
virus promoter, a chloroplast targeting sequence from
A. thaliana, the
cp4
epsps coding region from
Agrobacterium sp. strain CP4 and a 3 untranslated
region from pea;
(ii) The
gus gene cassette containing the 35S promoter from
cauliflower mosaic virus, the
uidA coding region for the ß-D-glucuronidase from
E. coli and a 3 untranslated region from
pea;
(iii) The
gox gene cassette containing the figwort mosaic
virus promoter, a chloroplast targeting sequence from
A. thaliana, the
gox coding region (glyphosate oxidoreductase) from
Ochrobactrum anthropi and a 3 untranslated region
of the nopaline synthase gene;
(iv) The
nptII gene cassette containing the 35S promoter from
cauliflower mosaic virus, the
nptII coding region for the neomycin
phosphotransferase protein, and the 3 untranslated region
of the nopaline synthase gene.
Information included in the dossier on
genetic transfer capabilities of the vector and the
frequency of mobilisation of the vector is deduced from the
fact that the plasmid has no inherent capability to
transfer DNA to plants. Based on available information on
the properties of the vector, the conclusions reached
appear to be appropriate.
6.1.3. Transgenic construct in the genetically modified
plant: Vector pMON17204 was designed to transfer DNA
located between the right and left borders. In the A5/15
construct it was determined that only part of the DNA
between the borders was transferred. Molecular analysis
based on the Southern blot technique showed that the insert
contains only the
cp4
epsps gene. The
uidA,
gox and
nptII genes located between the borders in the
vector were not incorporated into line A5/15. By PCR
experiments it was stated that the plasmid origins of
replication (oriV and oriColE1) were not incorporated into
line A5/15. The T-DNA was truncated in the E9 3 element
before the 35S promoter and the
uidA gene resulting in a fully functional
cp4
epsps gene and no other elements of pMON17204 are
inserted into line A5/15. Southern blot analysis showed
that there is one copy of T-DNA inserted into line
A5/15.
The
cp4
epsps gene confers tolerance to glyphosate and was
used for selection of the transgenic shoots during the
transformation experiments.
Stability of the insert was determined
in two ways:
(a) Testing of multiple generations of
RR hybrids for tolerance suggested that the levels of
tolerance are consistent between generations.
(b) Physical stability testing by
Southern blot and PCR walking experiments were performed on
the original transformation event (T
0) and on 5-6 plants from each of the subsequent
3 generations (T
1 to T
3). It is indicated that no differences in the
banding pattern were observed among the generations.
The fact that no meaningful differences
between the ranges and mean levels of CP4 EPSPS in A5/15
were observed over 2 years in samples from field trials is
consistent with stable insertion and expression of the RR
gene over generations.
6.2. Safety Aspects
6.2.1. Potential for gene transfer: Beet line A5/15
contains only the functional
cp4-epsps gene (under the control of a plant virus
promoter and an
Arabidopsis chloroplast-targeting sequence)
conferring the glyphosate-tolerant phenotype. In the
unlikely event of intestinal bacteria being transformed by
this gene, its expression could not occur unless some
recombinational event placed the gene under the control of
a bacterial promoter. Even if this extremely remote
possibility did occur, the resulting protein would share
common sequence and catalytic properties with the
corresponding plant enzymes consumed in far larger amounts
as a normal part of human and livestock diets.
6.2.2. Safety of gene products and metabolites:
Safety of gene products: Since the shikimate pathway
is absent in mammals, the presence of the
cp4 epsps gene product does not present a direct
hazard for ruminant animals, the target species for the
whole product. In addition, the
5-enolpyruvylshikimate-3-phosphate synthase protein would
be expected to be substantially degraded by the rumen
microflora. Indirect effects of the gene product in the
target species were not observed. Elevated concentration of
the enzyme in the GM plant did not significantly alter the
production of aromatic amino acids which might have been
expected if this were a rate-limiting enzyme. As a result,
production of other C
6-C
3 compounds which derive from phenylalanine also
would not be expected to be changed. Products (sucrose)
extracted for human consumption would be essentially free
from protein (including the gene product which is found in
greatest concentration in leaves) and DNA.
Residue assessment: The metabolism of glyphosate has
been investigated in several varieties of plants; the
metabolic pathway in tolerant crops is the same as in
non-tolerant. In tolerant plants containing the enzyme CP4
EPSPS like fodder beet line A5/15, glyphosate is only
slowly metabolised to AMPA (aminomethylphosphonic acid)
like in non-tolerant crops. Studies with livestock animals
show that glyphosate and AMPA are either not metabolised or
are insignificantly metabolised and that residues will not
be present in meat, milk and eggs of animals that consume
feed prepared from tolerant or non-tolerant crops after
treatment of glyphosate according to Good Agricultural
Practice.
The WHO has recommended the following
acceptable daily intake (ADI) for the sum of glyphosate and
aminomethylphosphonic acid: 0.3 mg/kg b.w. (1997 Joint
Meeting of the FAO Panel of Experts on Pesticide Residues
in Food and the Environment and the WHO Core Assessment
Group).
6.2.3. Substantial equivalence: Pooled material from
30 plants from each of 15 locations collected over three
growing seasons was analysed. Tops (leaf tissue) and roots
(brei) were separately treated. Some minor differences in
proximate analysis between control and modified lines
within years (p<0.05) were detected, but all values fell
within the normal range for beet. Significant differences
were not present when the data for all three growing
seasons were collectively analysed. Detailed analysis of
amino acid content also showed minor, but significant,
within-year differences between the control and the A5/15
line. However, such differences, which were not consistent
between years, would be expected from material grown at
multiple sites. Seen in the context of the limited
contribution made by beet protein to the total protein in
the ration of a dairy cow, these differences are
inconsequential. The saponin concentration found in roots
or tops of the modified line did not differ significantly
from the control. Substantial equivalence with respect to
the fractions of nutritional value and the presence of
saponins has been demonstrated.
6.3. Environmental Aspects
6.3.1. Potential for gene transfer/escape: Fodder
beet is a cultivated biennial form of the beet,
Beta vulgaris, which is an outbreeding, wind
pollinated species which is self-sterile. Large amounts of
pollen are produced which can travel long distances.
Assuming proximity, synchrony of flowering and suitable
conditions,
B. vulgaris may freely hybridise with other
varieties,
B. maritima (sea-shore beet) and the wild beets
B. macrocarpa and
B. atriplicifolia. Hybridisation within the section
Beta may give fertile offspring but is unlikely with
other members of the Chenopodiaceae family. Annual weed
beet is found in wild populations. The normally biennial
cultivated beet may become vernalised by cold weather which
induces bolting and the reproductive phase within
season.
The best cultural practice to prevent
outcrossing is to prevent flowering of the herbicide
tolerant fodder beet in the same way that unmodified
cultivars are grown. Fodder beet is harvested before the
natural onset of the reproductive phase. For seed
production there are clear seed certification rules
prescribing minimum distances to foreign pollen sources of
the genus
Beta.
6.3.2. Treatment of volunteers: Volunteer plants in
the crop may arise from the presence of wild beet, the
bolting of fodder beet plants, the development of
groundkeepers which arise initially from vegetative growth
of beet crowns or tops left after harvest or the
germination of seed (which may be dormant in the soil for
up to 10 years). Beet is sensitive to tillage and most
broad-leaved herbicides commonly used in rotational crops.
Volunteer plants should be controlled by standard
agricultural practice (other than the use of glyphosate).
Bolting plants should also be removed by standard
agricultural practice before pollen release.
6.3.3. Safety to non-target organisms: Roundup Ready
® beet is as susceptible as non-modified beet to
predation by insects, nematodes and mammals. It is equally
susceptible to viruses and fungi and shows the same
behaviour to fungicides, insecticides and herbicides (other
than glyphosate). Safety to mammals has been established by
a toxicity study. The environmental impact of
glyphosate-tolerant fodder beet is not expected to be any
different from that of any other beet variety used for the
same purpose.
6.3.4. Resistance and tolerance issues: Beet is
biennial, highly sensitive to frost and poorly competitive.
The sensitivity of this transformed beet to non-glyphosate
herbicides is the same as the sensitivity of non-modified
beet. In non-cropped habitats, any modified plants will
have no selective advantage in the absence of glyphosate.
In the case of field volunteer plants they should be dealt
with by standard agricultural practice. The notifiers
should establish a detailed code of practice and work
closely with growers to ensure Good Agricultural Practice
which should minimise the establishment of herbicide
tolerance outside the crop.
7. Overall assessment
The Commission requested the Scientific
Committee on Plants "to consider whether there is any
scientific reason to believe that the placing on the market
of fodder beet tolerant to glyphosate notified by Monsanto
and Danisco Seed with the purpose to be used as any other
fodder beet is likely to cause any adverse effects on human
health and the environment".
In the assessment of the dossier against
the criteria set out in Directive 90/220/EEC, the Committee
has reached the following conclusions:
1. The Committee, after examining and
considering the existing information and data provided in
the dossier against the background of available knowledge
in the areas concerned, considers that there is no evidence
indicating that the use of the fodder beet tolerant to
glyphosate with the purpose to be used as any other fodder
beet is likely to cause any adverse effects on human health
and the environment.
2. The Committee was also of the opinion
that the notifiers should establish a detailed code of
practice and work closely with growers to ensure Good
Agricultural Practice which should minimise the spread of
herbicide tolerance. The Scientific Committee wishes to be
kept informed of progress in this area.
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