| Literature DB >> 27468309 |
Caroline E Ridley1, Laurie C Alexander1.
Abstract
One application of gene flow science is the policy arena. In this article, we describe two examples in which the topic of gene flow has entered into the U.S. national environmental policymaking process: regulation of genetically engineered crops and clarification of the jurisdictional scope of the Clean Water Act. We summarize both current scientific understanding and the legal context within which gene flow science has relevance. We also discuss the process by which scientific knowledge has been synthesized and communicated to decision-makers in these two contexts utilizing the concept of 'boundary work'. Boundary organizations, the work they engage in to bridge the worlds of science, policy, and practice, and the boundary objects they produce to translate scientific knowledge existed in both examples. However, the specific activities and attributes of the objects produced varied based on the needs of the decision-makers. We close with suggestions for how scientists can contribute to or engage in boundary work with policymakers.Entities:
Keywords: boundary work; environmental policy; genetically engineered crops; gene flow; watershed connectivity
Year: 2016 PMID: 27468309 PMCID: PMC4947153 DOI: 10.1111/eva.12393
Source DB: PubMed Journal: Evol Appl ISSN: 1752-4571 Impact factor: 5.183
Gene flow‐related charge questions that were posed to the Federal Insecticide, Fungicide, and Rodenticide (FIFRA) Scientific Advisory Panel in 2000 and 2009
| Scientific Advisory Panel 2000 | Scientific Advisory Panel 2009 |
|---|---|
| Does quantifying risk (e.g., hybridization rates, gene introgression) provide adequate means to assess potential environmental impact and determine approval of a plant pesticide which has wild or feral relatives in the United States? If yes, what further risk assessment is warranted to evaluate the risk of outcrossing? | The EPA asks the Panel to discuss whether it is possible to evaluate, in part, impacts of a gene flow event by gathering data on target (pest) species which are associated with the wild species (transgene recipient). |
| Are isolation distances as proposed for certified or registered seed considered sufficient to mitigate gene flow between | The EPA asks the Panel to discuss whether the gathered data will allow estimating the degree to which resistance to these target species may influence the population dynamics or invasiveness of the wild relative. |
| Does the panel agree that the gene flow and outcrossing assessment contained in the background documents are adequate for the currently registered | The EPA asks the Panel to discuss whether empirical data regarding the target species (e.g., fungi, insects) and nontarget species (e.g., pollinators, detritivores) associated with the sexually compatible wild relative have the potential to inform about risks to the [sexually compatible wild relative] population and the associated community. |
| The EPA asks the Panel to discuss whether an understanding of the potential effect(s) of introgressed transgenes on basic plant habit, phenology and physiology provide a basis for assessing potential impacts following a gene flow event. |
Summary of the policy and science contexts for the genetically engineered crops and watershed connectivity examples presented in this study, as well as their boundary organization and boundary object attributes
| Genetically engineered crops | Watershed connectivity | |
|---|---|---|
| Relevance of gene flow science | Gene flow between crops engineered with a plant‐incorporated protectant and wild or weedy relatives is possible and could result in environmental effects. | Connectivity in aquatic and semiaquatic species connects populations and could affect population‐ and community‐level attributes, including composition and resiliency. |
| Policy context | EPA examines potential environmental effects of pesticides, including plant‐incorporated protectants, under the Federal Insecticide, Fungicide, and Rodenticide Act (FIFRA). | Clean Water Act has been interpreted by the courts to consider evidence of ‘significant nexus’ with navigable waters. |
| Boundary organization | EPA Office of Chemical Safety and Pollution Prevention and Office of Pesticide Programs | Members of EPA Office of Research and Development and Office of Water |
| Boundary organization attributes | ||
| Mediated boundary | Engaged across the boundary between crop gene flow scientists and decision‐makers within EPA who determine data requirements for plant‐incorporated protectant registrants. | Engaged across the boundary between research scientists (hydrologists, ecologists, etc.) and decision‐makers within the regulatory agencies who interpret the legislative and judicial direction on Clean Water Act jurisdiction. |
| Boundary objects created | Synthesis of scientific understanding of gene flow between corn, potato, cotton, and their respective wild relatives (U.S. EPA | Assessment of scientific understanding of connectivity of water bodies written by the boundary organization (U.S. EPA |
| Boundary object attributes | ||
| Saliency | Synthesis—Interactions between boundary organization and decision‐makers. | Assessment—Approach determined through iterative interactions between boundary organization and decision‐makers. |
| Scientific Advisory Panel reports—Include answers to a set of charge questions, posed by the boundary organization, that are presumably relevant to decision‐maker needs. | Peer‐review reports—Comprised of a set of charge questions posed by the boundary organization. | |
| Credibility | Synthesis—Authored by scientists, synthesis incorporated sources of data ranging from data submitted by plant‐incorporated protectant registrants to publicly available literature and was reviewed by the Scientific Advisory Panel. | Assessment—Authors had applicable scientific training, the assessment incorporated over 1200 published scientific articles and was reviewed by multiple groups of independent scientific experts. |
| Scientific Advisory Panel reports—Authors are required to have subject matter expertise and must disclose financial interests and other potential conflicts of interest. | Peer‐review reports—Authors are required to have subject matter expertise and must lack real or perceived conflict of interest. | |
| Legitimacy | Synthesis—Incorporated comments submitted by the public. | Assessment—Released for public comment when reviewed by the Science Advisory Board. When final document was released, it was accompanied by a ‘response to comments’ document, clarifying how panel and public comments were incorporated. |
| Scientific Advisory Panel reports—Panel members may be nominated by the public. Members of the public are allowed to address the panel during public meetings. | Peer‐review reports—Science Advisory Board panel members are nominated by the public. All panel deliberations are open to the public, and members of the public are invited to provide verbal comments to the panel during meetings. | |