World trade in agricultural commodities has been far less buoyant over the
second half of the decade of the 1990s, than was earlier predicted. Not
only have world prices of many such agricultural commodities slumped, but
even volumes of trade have not grown much, o the point where in the past
few years, the total dollar value of trade in many commodities has
actually fallen.
There are many reasons for this, including reduced or changing patterns of
food demand across the world. One important factor has been the growing
role of different types of national and international regulation – and
associated requirements for certification and labelling – in governing
agricultural trade generally. Such regulatory regimes attempt to balance
the health, safety and preference needs of consumers with the requirements
of producers. However, the balance is not an easy one, and all too often
the ones who are worst affected are small holding cultivators of
developing countries, who find that they are either unable to afford or
lack the technical expertise to undertake and fulfil, the complex
requirements of certification.
These issues are becoming especially important for Indian agriculture,
which is subject to growing competition (at the margin, and often implicit
rather than actual) from highly subsidised imports in the domestic market,
and a the same time increasingly has to deal with complicated regulatory
practices in the case of exports. As Charts 1a and 1b show, the share of
agriculture in total exports fell quite sharply even in the period between
1998-99 and 2000-01.
Chart 2 shows the value of exports (in US dollar terms) at the beginning
and the end of the decade. Many commodities remained relatively stagnant
in terms of exports, and this is confirmed by the rates of growth
indicated in Chart 3. On the other hand, some of the more buoyant exports,
such as coffee, spices, and fruits vegetables and pulses, are precisely
those in which certification and labelling are likely to play a growing
role in future in world markets.
Tables 1 and 2 detail the various types of regulatory measures that
proliferate in agricultural trade. It is evident that these are not only
complex and manifold, but also tend to vary a great deal between
countries.
International regulatory
regimes
The Codex Alimentarius
Commission is a joint creation of the Food and Agriculture Organization (FAO)
and the World Health Organization (WHO) to implement the Joint FAO/WHO
Food Standards Programme. The stated purpose of this is : (a) protecting
the health of the consumers and ensuring fair practices in the food trade;
(b) promoting coordination of all food standards work undertaken by
international governmental and non governmental organizations; (c)
determining priorities and initiating and guiding the preparation of draft
standards through and with the aid of appropriate organizations; (d)
finalizing standards elaborated as above and, after acceptance by
governments, publishing them in a Codex Alimentarius either as regional or
world wide standards, together with international standards already
finalized by other bodies, wherever this is practicable; (e) amending
published standards, after appropriate survey in the light of
developments.
The Codex has proved to be an important means of harmonising standards
with a view to satisfying consumers of different countries. Nevertheless,
it is true that the standards so specified often mean a substantial
increase in costs of cultivation/processing/distribution, which in turn
tends to increase concentration in this sphere of economic activity. It is
hard for agricultural small holders to meet or to prove that they meet
such standards.
Some foreign regulations
which affect Indian farm exports
There are many examples of
how regulation in other countries has affected the ability of Indian
exporters to access foreign markets. This example from Europe shows how
even relativelt small measures can have very far-reaching effects. The
European Union has brought in stricter quality legislations on imported
food products including animal feeds specially pertaining to permissible
levels of aflatoxin, hexane and pesticide residues and other harmful
foreign material that enter agricultural produce during post-harvest
handling and processing. This is expected to affect India's exports
negatively, particularly those of groundnut, cashewnuts, walnuts, pepper,
chilies, oilcakes and marine products.
Aflatoxins are potent carcinogenic, immuno-suppressive bio-chemicals
produced when the aspergillus fungus invades certain agricultural
commodities. They tend to pose very serious problems for many agricultural
commodities including maize, chilies, sesame and groundnut. The products
affected in this case include HPS groundnuts, extractions, spice oils,
essential oils, derived from flowers, etc. besides others.
In HPS groundnuts the
aflatoxin level has been brought down to 10ppb in raw nuts and 4 ppb in
consumer-ready processed nuts from 10-30 ppb allowed earlier. The levels
of aflatoxin in foodstuffs develop mostly when moist unsterilized
agricultural products, whether raw or processed, are stored in confined
space with improper air ventilation.
The aflatoxin level in HPS groundnut ranges from a low of 10 to over
130-150 and is linked to the quality of groundnuts. The lower count
groundnut generally is of better quality as it is picked by workers adept
at this job. The EU has set a maximum level of B1 aflatoxin at 5ppb for
nuts not
meant for direct consumption and at 2 ppb for
nuts meant for direct consumption. This is a very substantial tightening
compared to current norms in most other parts of the world. Earlier India
had set the B1 level at 30ppb and many countries including China, USA,
Vietnam and Argentina at 20ppb. This new norm is likely increase the price
of imported nuts substantially within the EU.
In addition, the EU has limited the levels of hexane in cocoa butter fat
and oil to 1 ppm, in defatted protein products and flours to 10 ppm,
defatted soyabean products to 30 ppm and cereal germs to 5 ppm. Already in
1997, the EU had reduced the permissible levels of residues in oil
extractions of various flowers and spices. The products cover exotic oils
derived from jasmine and tuberose, bud oils like cinnamon bark and
turmeric root, and seed oils like ajwain, star anise, cardamom, cumin,
coriander, fennel, fenugreek, kalonji, etc.
The need for state
assistance
The basic point about dealing with
certification and meeting of various international standards, is of course
that it is very expensive. Therefore, almost by definition, it excludes
the millions of small cultivators who do not have either the resources or
the knowledge or technical expertise to meet standards or to go through
processes of certification., In addition, for all producers, the process
itself can be lengthy and quite cumbersome and bureaucratic, creating
delays in shipment and often disrupting the distribution process. In
general, therefore, it means an increase in costs and therefore possibly
in prices.
Obviously, there is a critical role for the state in this, in terms of
providing both internationally recognized certification and accreditation
agencies, and the technical and financial resources for farmers to meet
such requirements. Unfortunately, while there has been some attempts,
especially through the Bureau of Indian Standards and APEDA, to meet the
first role, the second and probably the more crucial role has been mostly
neglected or underfulfilled.
Thus, agricultural extension services across rural India typically do not
provide either knowledge or technical expertise about prevailing national
and international standards, nor are they designed to assist farmers in
changing cultivation practices to meet these standards. Information about
certification and assistance in certification of products is very limited
and inefficient, so much so that those few farmers who can afford it take
the help of profit-oriented private companies for this. And of course,
resources for such activities are not provided to farmers in the form of
financial assistance, which puts our cultivators at a clear disadvantage
relative to those from other countries with more organised and financially
secure systems.
There is therefore much that needs to be done in this regard by the
government now especially, in order both to protect Indian farmers and to
allow them to use whatever opportunities do exist in international
markets.
The organic food market and organic labelling
The concept of food quality
has changed dramatically in recent years. It now refers not only to the
characteristics of the final product, but also to the way in which it is
produced, processed and transported. Retailers and importers in developed
country markets are applying their own quality standards, which are often
more stringent than the national quality regulations. Consumers in
developed countries and a few in developing countries have become more
health conscious and they have restored spending to greener, healthy and
natural foodstuffs. They are willing to spend more on organically produced
and labeled products. As a result, farmers in developed countries are
encouraged to convert their existing farm into organic farms and are often
fully supported with financial incentives and technical assistance.
Of course, a basic issue is defining what exactly is meant by “organic
farming.” Among the more stringent definitions is that of the US
Department of Agriculture, which has defined it as follows : “a system
that is designed and mailed to produce agricultural products by the use of
methods and substances that maintain the integrity of organic agricultural
products until they reach the consumer. This is accomplished by using,
where possible, cultural, biological, and mechanical methods, as opposed
to using substances, to fulfill any specific fluctuation within the system
so as to: maintain long-term soil biological activity; ensure effective
peak management; recycle wastes to return nutrients to the land; provide
attentive care for farm animals; and handle the agricultural products
without the use of extraneous synthetic additives or processing in
accordance with the act and the regulations in this part.”
But it is also true that consumer perception on the organic production
method may, in certain detailed but important provisions, differ from
region to region in the world. That is why both national and international
norms for the definition of organic farming and organic foodstuffs become
necessary.
In
many developed countries as well as in some of the higher income
developing countries, the sale counters of retail chains and supermarkets
have been given special 'green status' to promote and sell organic and
natural foods. The organic food processing companies are being nurtured
and labelled as environmental friendly companies. This is already a huge
market – even in 1997, the size of the US organic food market was valued
at $4.2 billion, while the German market was estimated at $ 1.2 billion
and that of Japan at $ 2.5 billion. It is also a rapidly growing market
all over the world and particularly in the developed countries, as Table 3
suggests. The rapid growth in market estimates by 2000 indicate a much
larger market now, especially as the recent food scares relating to the
products of “industrial” agriculture and livestock rearing make consumers
more willing to pay more to ensure food safety.
Further, organically grown food
commands higher prices, with premiums for organic products ranging from 10
to 100 per cent. However, it should be remembered that these can disappear
when supply increases, especially in those countries with policies to
encourage organic farming.
Source :
Bhagirath Choudhary,
"Organic
farming: Indian farmers set to go green",
NISTADS, 2000
Partly because of this growing demand, many countries are in
process of developing their own 'organic food' standards and regulations.
The US and the European Union have already announced comprehensive
National Organic Programs. Japan, Canada and Australia have national
standard for organic products in practice since early nineties. New
Zealand, Israel and Brazil have almost attained the equivalency status
with the standards of the European Union and USA. China, Thailand, South
Korea, Philippines, Turkey and Mexico have established credible organic
certifying agencies and are on the verge of deciphering organic policy.
The major organic products sold in global markets include( in order of
importance) dried fruits and nuts, processed fruits and vegetables, cocoa,
spices, herbs, oil crops, and derived products, sweeteners, dried
leguminous products, meat, dairy products, alcoholic beverages, processed
food and fruit preparations. Non-food items include cotton, cut flowers,
animals and pot plants.
Certain very large organic food markets such as the United States present
particular problems for exporters because of the rigid requirements for
labelling. In the US products are accepted as “organic” only if they
conform to US Department of Agriculture requirements, which are fairly
stringent and require certification which can be costly and cumbersome for
exporters form poor countries.
The process of certification is as follows : A grower or handler seeking
organic certification submits an organic farm plan or organic handling
plan to a USDA-accredited private or state certification program. The
organic plan must detail all current growing or handling methods, and any
materials which will be used. The plan must also cover future intentions
and improvements to all areas of production. Even growers or harvesters of
organic wild crops must develop a plan showing that harvesting practices
will not be destructive to the environment or to the future productivity
of the crop.
The USDA further requires that records of all management practices and
materials used in organic production must be kept for five years. In order
to be certified as organic, crops must be grown on land which has been
free of prohibited substances for three years prior to harvest. Crops
grown on land in transition to organic (during the first three years after
switching from conventional farming) cannot be labeled as organic. The
Organic Foods Production Act (OFPA) makes no provision for a
USDA-sanctioned "transitional" label.
OFPA covers organic agricultural methods and materials in great detail,
including soil fertility, the application of manure, crop rotation, and
composting. Compost ingredients recommended by the National Organic
Standards Board (NOSB) include crop residues, crop waste from food
processing operations, animal manure, yard waste from private or municipal
sources, or other vegetable by-products. NOSB recommends prohibiting
municipal solid waste compost and sewage sludge compost, and the use of
any prohibited material as a compost ingredient.
OFPA also establishes a National List of acceptable and prohibited
materials. These can include pest control treatments as well as other
agricultural inputs such as fertilizers and seed treatments. NOSB
recommends that all agricultural inputs be evaluated for their long-term
effect on the environment and not simply whether they are synthetic or
natural.
It is obvious that these are fairly stringent requirements and so not at
all easy to meet. Apart from this, it is extremely difficult for small
growers in other countries in particular, who may well meet all of these
criteria in actuality, to establish conclusively that they do so,
especially through maintaining records etc.
On an international level, the Food and Agriculture Organisation (FAO) in
collaboration with the World Health Organization (WHO) has developed the
Codex Alimentarius for organic products. FAO has declared that it will
give increasing support to organic farming and wants to achieve
harmonization of different national organic standards to spur
international trade with organic products. There is already an
International Federation for Organic Agriculture Movements (IFOAM), which
is an International umbrella of organic agricultural accreditation
programmes.
The IFOAM was established in 1972 in France. There are 600 organizational
members of IFOAM from 120 countries, including India. The main thrust of
IFOAM was to define the concept of organic farming through their basic
standards. Another important task of IFOAM is to harmonize certification
programmes through accreditation system. The other activities of IFOAM
include participation in the UN and contact with international NGOs and
communication through seminars, magazines etc.
Organic farming and certification in India
In India, the relative lack of national rules, regulations and
specific standards relating to organic food production, inadequate
certifying agencies and unrecognized 'green' marketing and retailing
channels have not only been confusing for producers and consumers alike,
but have prevented farmers from exploiting the export market advantages of
organic production.
This is a major missed opportunity because most small and marginal farmers
in India have actually been practicing organic farming as part of
traditional cultivation practice. Thus they have used local or own-farm
derived renewable resources and managing self-regulating ecological and
biological processes. In fact, this is usually found to be absolutely
necessary simply in order to cultivate acceptable levels of crop,
livestock and human nutrition products while protecting them from pests
and diseases through bio-chemicals and bio-fertilizers (such as Neem
extract). However, it is true that the higher cost of such inputs and
processes compared to industrially generated fertilizers and pesticides
has encouraged many farmers to shift production patterns.
It is true that the Government of India has now woken up – if belatedly –
to this problem and is now attempting to establish at least the basic
rules and accreditation processes which are necessary. In March 2000, the
Ministry of Commerce launched the National Programme for Organic
Production (NPOP), designed to establish national standards for organic
products which could then be sold under the logo ‘India Organic’. To
ensure the implementation of NPOP, the National Accreditation Policy and
Programme (NAPP) has been formulated, with Accreditation Regulations
announced in May 2001. These make it mandatory that all certification
bodies, whether already engaged or proposing to engage in inspection and
certification of organic crops and products, should be accredited by an
Accreditation Agency. Foreign certification bodies operating in the
country must also be accredited.
The appointed Accreditation Agencies are the Agricultural & Processed Food
Products Export Development Authority (APEDA), Coffee Board, Tea Board and
Spices Board. At present, only APEDA has invited applications for
accreditation. An appointed Evaluation Agency is to ascertain the
programmes and credentials of the implementing agencies and submit its
report to the Accreditation Agency. According to information from APEDA,
to avoid duplication a common Evaluation Agency and Committee for
Accreditation will be formed with experts and members drawn from other
Accreditation Agencies.
The Regulations also make a provision for export, import and local trade
of organic products. Currently, however, only the export of organic
products comes under the government regulation, while imports and local
trade do not. Thus, an agricultural product can only be exported as an
‘Organic Product’ if it is certified by a certification body duly
accredited by APEDA as one of the accreditation agencies. The categories
of products covered under accreditation are organic crop production,
organic animal production, organic processing operations, wild products
and forestry.
The World Bank has organised a project designed to empower rural
communities to export organic spices. The main programmes envisaged under
the project are improvement and promotion of organic production of spices,
certification and export of selected spices like black pepper, white
pepper, ginger, turmeric, cardamom, clove, nutmeg and western herbal
spices like rosemary, thyme, oregano and parsley. The programmes are being
taken up in selected project sites in Idukki and Wynad districts in Kerala,
Nilgiris district of Tamilnadu and Kandhmal district of Orissa, and
implemented through locally based NGOs, from the year 2000 to 2003.
The salient features of the project are, imparting training to NGOs and
farmers on basic standards, organic production methods, documentation,
inspection and certification. The project also envisages empowerment of
NGOs by providing PCs and software for market promotion of organic
products. The ITC will conduct market survey in potential markets of
organic products and disseminate the information to the potential
producers in India. Certification of the project areas as organic is also
envisaged under the project. Only 30 percent of India’s total cultivable
area is covered with fertilizer where irrigation facilities are available
and the remaining 70 percent of the arable land, which is mainly rainfed
area, has not been using any fertilizer. Also, it is estimated that around
600 to 700 million tonnes of agricultural waste is available in the
country every year but most of it is not properly used. There are several
alternatives for supply of soil nutrients from organic sources like wormi-compost,
biofertilizers etc. Technologies have been developed to produce large
quantities of wormi-compost. There are specific biofertilisers for
cereals, millets, pulses and oilseeds.
However, such biofertilizers and biopesticides have not become very
popular in India for two reasons. The first is the lack of marketing and
distributing network. Retailers are typically not interested in selling
bio inputs because their demand is low, supply is erratic and farmers are
ignorant about bio inputs. The second reason is because of the presence of
chemical fertilizers and pesticides, with their heavy advertisement,
public support and higher margin for retailers. All these problems also
need to be addressed if a more comprehensive state support for organic
farming is to be considered.
The many aspects of such a project make it clear that such a process of
encouraging a shift to organic farming along internationally accepted
lines, and producing organic food for export, is a very expensive process.
It can only be attempted even by development agencies and NGOS, in
specific pockets or villages, and extending it over wide areas and a
sizeable number of cultivators would require large resources that are not
easy to raise or access.There is no doubt that organic agriculture is in
many ways an eminently preferable pattern for developing agriculture and
countries like India in particular. Organic agriculture can offers
multiple benefits. These include price premiums, natural resource
conservation (e.g. improved soil fertility and water quality, prevention
of soil erosion, preservation of natural and agro-biodiversity) and social
effects (e.g. generation of rural employment and corresponding lower urban
migration, improved household nutrition and local food security, reduced
dependence on external inputs).
But to take advantage of trade opportunities, developing countries must
contend with a plethora of national and regional standards, as described
in Tables 1 and 2, and high certification costs. It is not just that
active international efforts are needed to reduce these costs,
particularly for smallholders, and facilitate market access. In addition,
a big role has to be played by developing country governments to develop
supportive policies for encouraging organic agriculture, both for exports
and to enhance local food security. In a country like India, this can
imply tensions between pricing policy, input supply and the priorities of
ensuring that the public distribution system actually meets the food needs
of all the population.