Modified Organisms Subject to the Plant Protection Act
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- Title
- Modified Organisms Subject to the Plant Protection Act
- Posted
- May 15, 2026
- Comment period
- May 15, 2026 – Jul 1, 2026
- FR Doc
- 2026-09833
- CFR
- 7 CFR Parts 330 and 340
- Topics
Overview
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Stance breakdown
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Support × commenter type
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Issues raised
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Position map
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Issues shown
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| Organization | Trait-based regulatory framework | Secure rule reinstatement | Gmo safety and health | Agrobacterium research regulation | Product-over-process regulation |
|---|---|---|---|---|---|
American Alliance for Biomanufacturing (AAB) AdvocacySupport The American Alliance for Biomanufacturing (AAB), a coalition of biomanufacturing industry leaders, supports the USDA's | · | · | · | · | |
American Seed Trade Association Trade associationSupport The American Seed Trade Association (ASTA) supports the USDA's efforts to modernize the regulatory framework for genetic | · | · | · | · | |
American Society of Plant Biologists; ASM; Weed Science Society of America AdvocacyOppose The American Society of Plant Biologists (ASPB), the American Society of Microbiology (ASM), and the Weed Science Societ | · | · | · | · | |
Battelle Memorial Institute, Pacific Northwest Division BusinessSupport Battelle Memorial Institute, which operates the Pacific Northwest National Laboratory, argues that the current regulator | · | · | · | · | |
Bayer Crop Science BusinessSupport Bayer Crop Science supports the USDA's efforts to evaluate risk-based deregulation of genetically engineered (GE) organi | · | · | · | · | |
BPIA AdvocacySupport The Biological Products Industry Alliance (BPIA), representing over 180 member companies, supports the USDA's request fo | · | · | |||
Center for Food Safety AdvocacySupport The Center for Food Safety (CFS) argues that APHIS should move away from "genetic materiality" as a basis for regulation | · | · | · | · | |
CoverCress Inc BusinessSupport CoverCress Inc., an agricultural technology company, supports the USDA's evaluation of the regulatory framework for modi | · | · | · | · | |
Enzyme Technical Association Trade associationSupport The Enzyme Technical Association (ETA), a trade association representing enzyme manufacturers and marketers, supports th | · | · | · | · | · |
GMO/Toxin Free USA AdvocacyOppose GMO/Toxin Free USA, a public interest nonprofit, opposes shifting the regulation of genetically engineered (GE) organism | · | · | · | ||
Information Technology & Innovation Foundation AdvocacySupport The Information Technology and Innovation Foundation (ITIF) argues that the existing regulatory regime for genetically e | · | · | · | · | |
InnerPlant, Inc. BusinessSupport InnerPlant, Inc., an agricultural biotechnology startup, supports a science-based, risk-proportionate regulatory framewo | · | · | · | ||
International Alliance for Phytobiomes Research AdvocacySupport The International Alliance for Phytobiomes Research, a non-profit consortium, argues that there are no inherent material | · | · | · | ||
Microbial Biotechnology Policy Committee AdvocacySupport The Microbial Biotechnology Policy Committee (MBPC), a task force of companies developing microbial products, supports A | · | · | · | · | |
National Grain and Feed Association Trade associationSupport The National Grain and Feed Association (NGFA) supports the USDA's role in regulating modified organisms under the Plant | · | · | · | · | · |
Pluton Biosciences, Inc. BusinessSupport Pluton Biosciences, Inc., an agricultural biotechnology company, supports the development of a more rational, risk-propo | · | · | · | ||
Precision Fermentation Alliance AdvocacySupport The Precision Fermentation Alliance (PFA) supports the USDA's effort to modernize the regulatory framework for modified | · | · | · | · | |
Simplot Plant Sciences BusinessSupport The Simplot Company, an agribusiness, supports a shift toward a risk-based, product-focused regulatory framework for mod | · | · | · | · | |
Society for In Vitro Biology AdvocacySupport The Society for Society In Vitro Biology (SIVB) argues that the USDA should discontinue the distinction between conventi | · | · | |||
The Agriculture Biotechnology Alliance AdvocacySupport The Agriculture Biotechnology Alliance (ABA), representing producers and biotechnology developers, supports the USDA's i | · | · | · | ||
The Breakthrough Institute AdvocacySupport The Breakthrough Institute supports streamlining the regulation of agricultural biotechnology by moving toward a risk-pr | · | · | · | ||
The International Food Additives Council (IFAC) Trade associationSupport The International Food Additives Council (IFAC), a trade association representing manufacturers of food ingredients, sup | · | · | · |
Campaigns
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Explorer
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- Jun 30, 2026Center for Food SafetySupportAdvocacy📎 Attachment
The Center for Food Safety is submitting supporting materials to reinforce its previous comments regarding the oversight of genetically engineered (GE) crops. The organization advocates for stricter coordination and monitoring by the USDA, EPA, and FDA to ensure public safety and prevent unauthorized releases of GE crops.
Read comment → - Jun 25, 2026Persistence Analytics Group LLCSupportBusiness
Persistence Analytics Group LLC / United Grid supports the development of agricultural biotechnology but argues that the USDA's future framework must be based on transparent, evidence-supported, and monitored assumptions. They recommend that the USDA focus on field-condition verification, trait durability, and proportionate oversight to ensure that innovation is balanced with verified safety and risk management.
Read comment → - Jun 30, 2026Paul AllisonOpposeOther
The commenter argues that the USDA's current regulatory framework for GMOs is outdated and fails to account for the broader environmental and ecological impacts of these crops, such as herbicide drift and insect resistance. They call for the USDA to strengthen its oversight by requiring comprehensive, independent, peer-reviewed science to evaluate the long-term sustainability of genetic engineering technologies.
Read comment → - Jun 30, 2026Kristin FreemanOpposeOther
The commenter argues that the USDA's current regulatory framework for GMOs is outdated and fails to account for the broader environmental and ecological impacts of these crops, such as herbicide drift and insect resistance. They call for the USDA to strengthen its oversight by requiring comprehensive, independent, peer-reviewed science to evaluate the long-term sustainability of genetic engineering technologies.
Read comment → - Jun 30, 2026Lynne PrestonOpposeOther
The commenter argues that the USDA's current regulatory framework for GMOs is outdated and fails to account for the broader environmental and ecological impacts of these crops, such as herbicide drift and insect resistance. They call for the USDA to strengthen its oversight by requiring comprehensive, independent, peer-reviewed science to evaluate the long-term sustainability of genetic engineering technologies.
Read comment → - Jun 30, 2026kenneth DeveneyOpposeOther
The commenter argues that the USDA's current regulatory framework for GMOs is outdated and fails to account for the broader environmental and ecological impacts of these crops, such as herbicide drift and insect resistance. They call for the USDA to strengthen its oversight by requiring comprehensive, independent, peer-reviewed science to evaluate the long-term sustainability of genetic engineering technologies.
Read comment → - Jun 30, 2026Jo Ann LenahanOpposeOther
The commenter argues that the USDA's current regulatory framework for GMOs is outdated and fails to account for the broader environmental and ecological impacts of these crops, such as herbicide drift and insect resistance. They call for the USDA to strengthen its oversight by requiring comprehensive, independent, peer-reviewed science to evaluate the long-term sustainability of genetic engineering technologies.
Read comment → - Jun 30, 2026Kelley BrooksherOpposeOther
The commenter argues that the USDA's current regulatory framework for GMOs is outdated and fails to account for the broader environmental and ecological impacts of these crops, such as herbicide drift and insect resistance. They call for the USDA to strengthen its oversight by requiring comprehensive, independent, peer-reviewed science to evaluate the long-term sustainability of genetic engineering technologies.
Read comment → - Jun 30, 2026Gina CashOpposeOther
The commenter argues that the USDA's current regulatory framework for GMOs is outdated and fails to account for the broader environmental and ecological impacts of these crops, such as herbicide drift and insect resistance. They call for the USDA to strengthen its oversight by requiring comprehensive, independent, peer-reviewed science to evaluate the long-term sustainability of genetic engineering technologies.
Read comment → - Jun 30, 2026Mark GinsburgOpposeOther
The commenter argues that the USDA's current regulatory framework for GMOs is outdated and fails to account for the broader environmental and ecological impacts of these crops, such as herbicide drift and insect resistance. They call for the USDA to strengthen its oversight by requiring comprehensive, independent, peer-reviewed science to evaluate the long-term sustainability of genetic engineering technologies.
Read comment →
