Thank you for the…

ERO number

019-0601

Comment ID

38039

Commenting on behalf of

Region of Peel - Public Health

Comment status

Comment approved More about comment statuses

Comment

Thank you for the opportunity to comment on the proposed amendments to the
Pesticide Regulation. While Region of Peel – Public Health staff are supportive of the
Ministry of Environment, Conservation and Park’s (MECP) stated commitment to
maintain the cosmetic pesticide use ban, we are concerned that the proposed
changes to the regulation could result in increased human exposure to pesticides
and negative impacts on pollinators. We therefore urge the MECP to reconsider the
proposed changes and to keep human and pollinator health at the forefront of any
future pesticide policy decisions. Specifically, our concerns, and recommendations
are as follows:

1. Process for Adding Pesticides to the Allowable List for Cosmetic Purposes

Peel Public Health staff are concerned with the proposed process for determining
whether a pesticide should be added to the allowable list for cosmetic purposes.
The proposed regulation provides the MECP Director with discretionary power to
add pesticides to the allowable list and provides arbitrary criteria (using words like
“likely” and “unlikely”) for the Director to base their decision on. Section 17(1).2
states that “an active ingredient is appropriate for use for a cosmetic purpose only if
the Director is satisfied that the active ingredient is a biopesticide or that the active
ingredient poses a low risk to human health and the environment.” One of the
factors to be taken into consideration by the Director in deciding if the pesticide is
low risk is if “the products in which the active ingredient is contained are unlikely to
be used in a manner that is likely to cause significant exposure to humans.”

A growing body of research evidence demonstrates known and suspected harms of
exposure to pesticides, including low‐dose exposures. As a result, Peel Public Health
staff are concerned that the Director’s discretionary power combined with the
arbitrary criteria they are to base their decision on, could undermine the intention of
the cosmetic pesticide ban and result in increased human exposure to pesticides.

Recommendations:

- Establish a robust, transparent and evidence‐based process to determine if
pesticides should be added to the allowable list. The process should be led by a
multi‐disciplinary group of expert advisors.

- Extend the comment period on proposed changes to the allowable list to at least
60 days to allow stakeholders enough time to review the proposal.

2. Neonicotinoids

Peel Public Health staff are concerned that the proposed regulatory changes will
undermine Ontario’s restrictions on neonicotinoid (NNI)‐treated seeds by removing
accountability mechanisms designed to protect pollinator health. NNIs are highly
toxic to pollinators and their use has contributed to the steep decline of pollinator
populations in recent years. Declining pollinator populations threatens the viability
of ecosystems and ultimately human health.

Since 2015, Ontario’s Pesticide Regulation has prohibited the sale and use of NNI-treated
corn and soybean seeds, except for in certain situations where relevant
pests are present. In cases where a farm had a pest problem necessitating the use
of NNI‐treated corn or soybean seeds, the current regulation contains various
accountability mechanisms to prevent the misuse of NNI. The proposed
amendments would remove many of the accountability mechanisms including the
requirement for:
 -farmers to have a third‐party verification of the pest problem
 -vendors to submit to the MECP a list of NNI pesticides for sale and Annual
Sales Data Reports of NNI
 - the MECP to post NNI‐treated seed sales data.

If made into law, these changes could result in increased use of NNI‐treated seeds as
there will be less oversight over the program and farmers/vendors may be more
inclined to use/sell NNI‐treated seeds. For example, if a farmer no longer requires
third‐party assessment of the presence of pests, it may result in the increased use of
NNI‐treated seeds in situations where their use is not warranted.

Recommendation:

 -Do not proceed with the proposed amendments. Maintain current requirements
to limit the use of NNIs and to track their sale and use.

We hope that these comments will be helpful as the MECP considers amendments
to the Pesticides Regulation. Of primary concern is that the proposed regulatory
changes weaken protections and may result in the increased use of cosmetic pesticides and NNIs. The recent Auditor General of Ontario’s 2019 report highlighted the need for proactive pesticides regulation, and noted that between 2014‐2018, 76 out of 1200 samples of Ontario‐grown produce tested by the Ontario Ministry of Agriculture had residues of pesticides that exceeded Health Canada’s allowable limits. Given this context, we believe it is critical to retain and strengthen existing
protections that protect the health of the public and the environment. Thank you
for the opportunity to comment.

Supporting documents