[Federal Register: December 3, 2002 (Volume 67, Number 232)]
[Rules and Regulations]
[Page 71798-71803]
From the Federal Register Online via GPO Access [wais.access.gpo.gov]
[DOCID:fr03de02-2]
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DEPARTMENT OF AGRICULTURE
Agricultural Marketing Service
7 CFR Part 905
[Docket No. FVO2-905-2 FIR]
Oranges, Grapefruit, Tangerines, and Tangelos Grown in Florida;
Change in the Minimum Maturity Requirements for Fresh Grapefruit
AGENCY: Agricultural Marketing Service, USDA.
ACTION: Final rule.
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SUMMARY: The Department of Agriculture (USDA) is adopting, as a final
rule, without change, an interim final rule increasing the minimum
maturity requirements for fresh grapefruit under the marketing order
for Oranges, Grapefruit, Tangerines, and Tangelos Grown in Florida
(order). The Citrus Administrative Committee (Committee), which locally
administers the order, recommended this change for Florida grapefruit.
EFFECTIVE DATE: January 2, 2003.
FOR FURTHER INFORMATION CONTACT: Melissa Schmaedick, Marketing Order
Administration Branch, Fruit and Vegetable Programs, AMS, USDA, Post
Office Box 1035, Moab, Utah 84532; telephone: (435) 259-7988, Fax:
(435) 259-4945; or George Kelhart, Technical Advisor, Marketing Order
Administration Branch, Fruit and Vegetable Programs, AMS, USDA, 1400
Independence Avenue SW, STOP 0237, Washington, DC 20250-0237;
telephone: (202) 720-2491, Fax: (202) 720-8938.
Small businesses may request information on complying with this
regulation by contacting Jay Guerber, Marketing Order Administration
Branch, Fruit and Vegetable Programs, AMS, USDA, 1400 Independence
Avenue SW, STOP 0237, Washington, DC 20250-0237; telephone: (202) 720-
2491, Fax: (202) 720-8938, or E-mail: Jay.Guerber@usda.gov.
SUPPLEMENTARY INFORMATION: This rule is issued under Marketing
Agreement No. 84 and Marketing Order No. 905, both as amended (7 CFR
part 905), regulating the handling of oranges, grapefruit, tangerines,
and tangelos grown in Florida, hereinafter referred to as the
``order.'' The order is effective under the Agricultural Marketing
Agreement Act of 1937, as amended (7 U.S.C. 601-674), hereinafter
referred to as the ``Act.''
USDA is issuing this rule in conformance with Executive Order
12866.
This rule has been reviewed under Executive Order 12988, Civil
Justice Reform. This action is not intended to have retroactive effect.
This rule will not preempt any State or local laws, regulations, or
policies, unless they present an irreconcilable conflict with this
rule.
The Act provides that administrative proceedings must be exhausted
before parties may file suit in court. Under section 608c(15)(A) of the
Act, any handler subject to an order may file with USDA a petition
stating that the order, any provision of the order, or any obligation
imposed in connection with the order is not in accordance with law and
request a modification of the order or to be exempted therefrom. A
handler is afforded the opportunity for a hearing on the petition.
After the hearing USDA would rule on the petition. The Act provides
that the district court of the United States in any district in which
[[Page 71799]]
the handler is an inhabitant, or has his or her principal place of
business, has jurisdiction to review USDA's ruling on the petition,
provided an action is filed not later than 20 days after the date of
the entry of the ruling.
This rule continues in effect an increase in the minimum maturity
requirements for fresh Florida grapefruit. This action continues to
increase the minimum maturity from a 7.5 percent soluble solids
(sugars) and a 7.0 to 1 solids to acid ratio with a sliding scale
minimum ratio of 6.0 to 1, to an 8.0 percent soluble solids (sugars)
and a 7.5 to 1 solids to acid ratio with a sliding scale minimum ratio
of 7.2 to 1. This change results in a sweeter grapefruit taste and
should increase consumer demand for fresh grapefruit. This action was
recommended by the Committee at its meeting on May 22, 2002, during
which thirteen Committee members voted in favor of this change, and
three voted against the change.
Section 905.52 of the order provides authority for the
establishment of grade and size requirements for Florida citrus. One
element of grade is maturity. Section 905.306 of the order specifies,
in part, the minimum grade requirements for grapefruit. The current
grade requirement for Florida grapefruit is a U.S. No. 1. The specifics
of this grade requirement are listed under the U.S. Standards for
Grades of Florida Grapefruit (7 CFR 2851.750-2851.784).
The U.S. Standards for Grades of Florida Grapefruit (Standards)
specify minimum and/or maximum allowances for discoloration, firmness,
color, texture, form/shape, varietal characteristics, and maturity. The
Standards define maturity by referencing the 1995 Florida Department of
Citrus (FDOC) Florida Citrus Code, Chapter 601 and the FDOC Official
Rules Affecting the Florida Citrus Industry, Part 1, Chapter 20-13. The
1995 Florida Citrus Code specifies a minimum maturity of 7.5 percent
soluble solids (sugars) and a 7.0 to 1 ratio of solids to acid. The
FDOC also employs a Citrus Fruit Maturity Chart as a sliding scale to
determine equivalent soluble solids and ratio maturity combinations.
The sliding scale allows for a range of soluble solids and ratio
combinations that are comparable to the required minimum maturity level
rather than just a fixed minimum requirement. With the sliding scale, a
higher level of soluble solids (sugars) allows for a lower solids to
acid ratio. In other words, grapefruit with higher soluble solids can
have a lower solids to acid ratio and meet the minimum maturity
requirements.
This rule continues to increase the minimum maturity requirements
for fresh Florida grapefruit. At its meeting on May 22, 2002, the
Committee recommended increasing the minimum maturity level for fresh
grapefruit from a 7.5 percent soluble solids (sugars) and a 7.0 to 1
solids to acid ratio with a sliding scale minimum ratio of 6.0 to 1 as
specified in the Standards, to an 8.0 percent soluble solids (sugars)
and a 7.5 to 1 solids to acid ratio with a sliding scale minimum of 7.2
to 1.
The Committee had formed a subcommittee to examine the maturity
issue, the Subcommittee on Grapefruit Maturity Standards
(subcommittee). The subcommittee determined that the minimum maturity
requirements for fresh grapefruit should be increased and forwarded
this idea to the full Committee at the May meeting. The subcommittee's
presentation to the full Committee focused on declining fresh
grapefruit sales, which it attributed to consumer dissatisfaction with
taste. Furthermore, it discussed the potential to increase consumer
demand through increasing the sweetness of grapefruit, particularly
early in the season.
The subcommittee found that consumers would be more likely to make
repeat purchases if their initial taste experience with early season
grapefruit was positive. By increasing the minimum maturity
requirements, the industry could meet consumer demand for a sweeter
tasting fruit. The subcommittee based its recommendation to increase
the minimum maturity standard on recent market research studies and
cited industry requests and support for a higher maturity standard.
The research studies referenced by the subcommittee were undertaken
by the FDOC, or at their request, and were designed to determine those
factors causing sales of fresh grapefruit to decline and those that
cause demand to increase. Much of the decline in sales was attributed
to consumer dissatisfaction with bitter tasting grapefruit early in the
harvest season which, in turn, resulted in consumer reluctance to make
repeat purchases. The studies indicate that consumer demand for
grapefruit would increase if the initial taste experience of consumers
was positive. In other words, repeat purchases are linked to consumer
satisfaction with taste (Florida Department of Citrus, Consumer
Research, February 20, 2002, conducted by a market research group;
Grapefruit Sensory Evaluation Study, February 19, 1997, conducted by
the FDOC; FDOC Grapefruit Strategy Working Session, February 20, 2002,
conducted by a market research group).
The subcommittee stated there was also substantial industry support
for an increase in the minimum maturity requirements, and referenced
memos received by the Committee in support of such an increase. The
memos received were from several industry groups representing nearly 80
percent of fresh grapefruit shipments. The memos specified the need to
increase sales and identified an increased maturity standard as a means
to improve consumer demand, particularly through repeat purchases.
The Committee, in its deliberations following the subcommittee's
presentation, discussed the state of the fresh grapefruit market.
Discussion centered around declining market demand and the need to
improve consumer purchasing patterns, particularly for early season and
repeat purchases. The Committee drew from information provided by the
subcommittee, market studies, and from Committee members, and
determined that providing the consumer with a sweeter, more mature
grapefruit will likely result in improved fresh fruit sales.
The purpose of this action is to help stabilize the market for
Florida grapefruit and improve producer returns by strengthening demand
and increasing the number of repeat purchases of grapefruit. Market
research indicates that this rule provides the consumer with a
grapefruit that is closer to consumer expectations in terms of
sweetness, thereby resulting in an increased demand for fresh
grapefruit.
According to the FDOC Florida Citrus Outlook 2001-2002 report,
domestic consumption of fresh Florida grapefruit has been declining in
recent years, dropping from 7-pounds per capita consumption in the
early 1980's to 6-pounds per capita consumption in the late 1990's. The
Economic Research Service, USDA, listed per capita domestic consumption
of grapefruit as 5.19 pounds in 2000.
This reduced consumption is reflected in shipping data for fresh
grapefruit. The Committee's 2000-2001 Annual Statistical Report
indicates that shipments of Florida fresh grapefruit have declined 28
percent over the past five seasons, dropping from 22.1 million boxes
(1\3/5\ bushels) in 1996-1997, to 15.9 million boxes in 2000-2001. For
the same period, FDOC reports show that domestic consumption of fresh
grapefruit has declined nearly 38 percent, from 18.6 million cartons
(\4/5\ bushel) during the 1996-1997 season to
[[Page 71800]]
11.6 million cartons for the 2000-2001 season.
The FDOC also notes that Florida's share of the U.S. fresh
grapefruit market has declined from 71.7 percent in 1990-1991, to 44.0
percent in 2001-02. Much of this lost market share has gone to Texas.
Texas shipped an estimated 273 million pounds of fresh grapefruit to
the domestic and Canadian markets in 2000-2001 compared to 184.3
million pounds in 1995-96, and accounted for over 31 percent of those
market shipments in 2000-2001, up from 17 percent in 1995-96. Texas had
a 32 percent increase in shipments to those markets over the 1995-96
season. During the same period, to the same markets, Florida fresh
grapefruit shipments decreased by 32 percent.
The Committee raised the question as to the minimum maturity
requirements for fresh Texas grapefruit. One reason for the increasing
demand for Texas grapefruit may be its sweeter taste. Texas currently
has a higher minimum maturity requirement than Florida. Minimum
maturity requirements for fresh Texas grapefruit include a 9.0 percent
soluble solids (sugars) and a 7.2 to 1 solids to acid ratio.
The Committee recognizes that Florida grapefruit production has
been declining along with demand. However, the lower market supply has
not stabilized market prices. Florida accounts for nearly 80 percent of
total domestic grapefruit production. Production for the 2000-2001
season was approximately 46 million boxes. This compares to production
of approximately 47.1 million boxes for the 1998-99 season, and is
substantially less than the 55.8 million boxes produced in 1996-97.
While this represents nearly an 18 percent decrease in Florida
grapefruit production, lower supply did not result in higher producer
returns as demand for fresh Florida grapefruit also declined during
this period.
The weakening demand for Florida fresh grapefruit has contributed
to declining on-tree prices and has led to economic abandonment of
fruit. According to the National Agricultural Statistical Service, on-
tree prices for fresh Florida grapefruit, fell from an average of $6.52
per box in 1999-2000 to an average of $4.80 per box in 2000-2001. Due
to low economic returns the past several years, some producers have
resorted to leaving portions of their crops unharvested. Economic
abandonment has impacted the Florida grapefruit industry for four of
the past six seasons, reaching an apex of 12 percent of total
production in the 1997-1998 season. Abandoned fruit accounted for 4
percent of production in the 2000-2001 and the 2001-02 seasons.
The Committee believes that the over shipment of smaller-sized red
seedless grapefruit contributes to poor returns and lower prices. To
address this situation the Committee has recommended weekly percentage
of size regulation under Sec. 905.153 for the last five seasons. This
regulation limits the volume of small sizes entering the market during
the regulated period. Under weekly percentage of size regulation,
f.o.b. prices and on-tree returns increased and movement stabilized as
compared to years with no percentage of size regulation. Weekly
percentage of size regulation has helped improved the situation, but it
has not solved all the problems. Consequently, the Committee believes
it is important to also address the demand side of the market.
The Committee's recommendation to increase the minimum maturity
requirements recognizes that due to the loss of market demand,
decreasing production and limiting shipments alone cannot adequately
stabilize weakening prices. In its efforts to achieve market
stabilization, the Committee has turned its focus to increasing
consumer demand. The Committee's recommendation to increase the minimum
maturity requirement seeks to increase demand by meeting consumer
preferences with a sweeter tasting grapefruit.
The Committee's recommendation is supported by several recent
market studies. FDOC research on consumer purchasing attitudes towards
grapefruit demonstrates the need for increasing sweetness in grapefruit
taste. Research results indicate that taste is a crucial factor in
consumer grapefruit purchasing patterns, particularly repeat purchases
(Grapefruit Sensory Evaluation Study, February 19, 2002, conducted by
the FDOC).
One study, compiled in April of 2002 by the FDOC, Blue Ribbon
Committee on Grapefruit, links the 30-percent decline in fresh
grapefruit sales in less than 10 years to customer attrition and
consumer perceptions of inconsistent taste. Another study conducted by
the Opinion Dynamics Corporation, a market research group (February 20,
2002), states that taste is by far the most important consideration in
consumer purchases of fruit.
A ``Grapefruit Sensory Evaluation Study'' conducted by the FDOC in
1997, concluded that the major determinant of repeat purchases of fresh
grapefruit was the flavor of the consumer's first grapefruit purchase
of the season. The results of this study indicate a strong correlation
between sweetness of flavor and consumer's willingness to make
additional purchases. The more bitter the consumer's initial grapefruit
experience, the less likely the consumer was to make an immediate
repeat purchase. Conversely, increased sweetness resulted in increased
repeat purchases of fresh grapefruit.
An additional study prepared by the Compendium Group, a market
research group, for the FDOC Grapefruit Strategy Working Session,
February 2002, also stressed the importance of consumer perceptions and
expectations in purchasing decisions. According to this study,
consumers associate sweetness of grapefruit flavor to the overall
quality of the fruit. The study states ``consumers want consistent
fruit that tastes the way they want it.''
In addition to the above-mentioned market research, there is strong
industry support for an increase in the minimum maturity requirements.
Industry support for an increase in the minimum maturity requirements
was indicated through memos representing nearly 80 percent of Florida
grapefruit production. Indian River Citrus League requested, in a memo
to the Committee, a raise in the minimum maturity to 8.0 percent
soluble solids and a 7.2 to 1 solids to acid ratio, a ratio slightly
lower than ultimately recommended by the Committee. Florida Citrus
Packers and the Peace River Citrus Growers Association supported an
even larger increase in the minimum maturity standard. Several
Committee members also expressed strong support for an increase.
The Committee's recommendation to raise the minimum maturity
standard incorporates its belief that a sweeter fresh grapefruit is
more attractive to consumers, and that consumer satisfaction with taste
will lead to an increase in repeat purchases. In turn, greater demand
for fresh grapefruit benefits the industry as a whole, as increased
demand will likely help stabilize market prices.
While the recommendation to increase the minimum maturity standard
was accepted by a majority of Committee members, some raised concerns
about the impact of the higher standards on the different grapefruit
producing regions and on early market sales. These concerns provided
the basis for the three Committee members who opposed the Committee's
recommendation.
One concern was that grapefruit production in areas lying to the
north of the dominant, central grapefruit growing region could be
disadvantaged due to differences in growing conditions. One
[[Page 71801]]
member indicated there were some areas in the northern production
region that may not be able to reach the higher maturity standard
regardless of the use of a sliding scale, and, therefore, be excluded
from the market. Variety of rootstock and geographic differences in
soil and climate were listed as possible reasons for some production
not being able to meet the higher standard.
Although some fruit may not meet the higher maturity standard, it
is expected that it represents a very small percentage of the overall
crop. The Committee's recommendation represents only a slight increase
in the minimum maturity and includes a sliding scale. The sliding scale
provides producers additional flexibility in meeting the higher
standard. Also, the sliding scale helps producers in differing regions
of the production area to meet the higher maturity requirements without
compromising the desired outcome of a sweeter grapefruit taste.
Florida citrus maturity samples also indicate that the majority of
Florida grapefruit will meet the higher maturity level, albeit later in
the season. Therefore, while some fruit may require longer maturing
periods before harvest, the majority of Florida citrus is expected to
meet the higher standard at some point during the season. It is
estimated that less than 2 percent of the Florida grapefruit crop will
not make the higher maturity in a typical growing season.
Committee members also countered that, although a small percentage
of Florida grapefruit production may not be able to meet the higher
maturity standard, this percentage pales in comparison to the amount of
grapefruit production currently left unharvested due to low economic
returns. Several million boxes of grapefruit were left on the tree four
of the past six seasons.
Another concern raised was that the higher maturity standard
requires some fruit to be left on the tree longer than current industry
practice, and that some producers will then forfeit the more lucrative
early-season sales. A concern over a potential loss of competitive
advantage was also voiced by the Gulf Citrus Growers Association
(GCGA), which indicated in a memo to the Committee its opposition to an
increase in the maturity standard. The southern production region has
historically benefited from early-season sales as climate conditions
allow their grapefruit production to mature sooner than the rest of the
production area.
The FDOC maturity sampling results indicate that while soluble
solids (sugars) levels are on average well over 8.0 from the onset of
the grapefruit harvest season, average grapefruit ratio solids to acid
levels in Florida grapefruit generally do not increase over 7.0 to 1
until the month of October, nearly one month after the traditional
harvest season begins. Hence, a portion of Florida grapefruit crop will
not meet the higher maturity requirements until slightly later in the
season. However, maturity samples also indicate that meeting the
increased maturity requirements later in the season is practicable for
the majority of the Florida grapefruit industry as average soluble
solids and solids to acid ratio levels are consistently above the
recommended minimum threshold.
While the increase in minimum maturity could cause a delay in some
fruit being released into the higher priced, early-season market, the
Committee pressed the importance of meeting consumer expectations of
flavor in order to secure repeat purchases. There is a push to get
fruit into the market early to take advantage of high prices available
at the beginning of the season. However, early fruit tends to be less
mature. The availability of this early, less mature fruit can
negatively impact repeat purchases and reduce demand in the long term.
In addition, the higher maturity requirements apply to all Florida
fresh grapefruit. This change impacts the entire industry, not just
individual regions. Any harvesting delays resulting from this increase
in maturity will impact all regions of the production area.
Committee members stated that while an increase in the minimum
maturity standard could delay the release of some grapefruit onto the
market, the potential opportunity costs of losing early-season sales
will be more than compensated for by consumers buying grapefruit more
frequently due to its sweeter, more appealing taste. Furthermore, the
Committee estimated that only a small percentage of total Florida fresh
grapefruit shipments will be affected by this change in the minimum
maturity standard. In addition, the whole industry benefits from a
stronger market demand and increased consumer satisfaction.
Taking into consideration the above concerns, the Committee
believes increasing the maturity standard will benefit the industry.
The Committee believes the higher maturity requirements will result in
a sweeter grapefruit taste and improve producer returns through
increased consumer purchases of fresh grapefruit by addressing consumer
preferences for a more appealing taste. Moreover, as maturity naturally
increases throughout the season, the overall impact on industry
shipments will be equal to or less than 2 percent of the total
grapefruit crop. Also, the sliding scale allows some flexibility for
handlers to meet the higher maturity requirements without compromising
the desired sweeter grapefruit taste.
This rule continues to raise the minimum maturity requirements from
a 7.5 percent soluble solids (sugars) and a 7.0 to 1 solids to acid
ratio with a sliding scale minimum ratio of 6.0 to 1, to an 8.0 percent
soluble solids (sugars) and a 7.5 to 1 solids to acid ratio with a
sliding scale minimum of 7.2 to 1. The sliding scale is based on the
FDOC Citrus Fruit Maturity Chart, and is as follows:
------------------------------------------------------------------------
Minimum total solids (sugars), % Solids to acid minimum ratio
------------------------------------------------------------------------
8.0 to (not including) 9.1................ 7.50 to 1
9.1 to (not including) 9.2................ 7.45 to 1
9.2 to (not including) 9.3................ 7.40 to 1
9.3 to (not including) 9.4................ 7.35 to 1
9.4 to (not including) 9.5................ 7.30 to 1
9.5 to (not including) 9.6................ 7.25 to 1
9.6 and greater........................... 7.20 to 1
------------------------------------------------------------------------
Section 8e of the Act provides that when certain domestically
produced commodities, including grapefruit, are regulated under a
Federal marketing order, imports of that commodity must meet the same
or comparable grade, size, quality, and maturity requirements. Since
this rule increases the minimum maturity requirements under the
domestic handling regulations, a corresponding change to the import
regulations must also be accomplished. A rule making a similar change
to the maturity requirements under the import regulations will be
issued as a separate action.
Final Regulatory Flexibility Analysis
Pursuant to requirements set forth in the Regulatory Flexibility
Act (RFA), the Agricultural Marketing Service (AMS) has considered the
economic impact of this action on small entities. Accordingly, AMS has
prepared this final regulatory flexibility analysis.
The purpose of the RFA is to fit regulatory actions to the scale of
business subject to such actions in order that small businesses will
not be unduly or disproportionately burdened. Marketing orders issued
pursuant to the Act, and rules issued there under, are unique in that
they are brought about through group action of essentially small
entities acting on their own
[[Page 71802]]
behalf. Thus, both statutes have small entity orientation and
compatibility.
There are approximately 75 grapefruit handlers subject to
regulation under the order and approximately 11,000 producers of citrus
in the regulated area. Small agricultural service firms, which include
handlers, are defined by the Small Business Administration (SBA) as
those having annual receipts of less than $5,000,000, and small
agricultural producers are defined as those having annual receipts of
less than $750,000 (13 CFR 121.201).
Based on industry and Committee data, the average annual f.o.b.
price for fresh Florida grapefruit during the 2001-02 season was
approximately $6.98 per \4/5\-bushel carton, and total fresh shipments
for the 2001-2002 season were estimated at 31.68 million cartons.
Approximately 33 percent of all handlers handled 72 percent of Florida
grapefruit shipments. Using the average f.o.b. price, at least 66
percent of grapefruit handlers could be considered small businesses
under SBA's definition. Therefore, the majority of Florida grapefruit
handlers may be classified as small entities. The majority of Florida
grapefruit producers may also be classified as small entities.
There has been a significant decline in consumer purchases of fresh
Florida grapefruit. The Committee believes that taste is one of the
prime factors effecting demand and repeat purchases. This rule
continues in effect an increase in the minimum maturity requirements
from a 7.5 percent soluble solids and a 7.0 to 1 solids to acid ratio
with a sliding scale minimum ratio of 6.0 to 1, to an 8.0 percent
soluble solids (sugars) and a 7.5 to 1 solids to acid ratio with a
sliding scale minimum ratio of 7.2 to 1. The increase in maturity
results in a sweeter tasting fruit, particularly during the early
months of the harvest season, and should increase consumer demand for
fresh grapefruit. The Committee made its recommendation at its May 22,
2002, meeting, in a vote of thirteen in favor of this change, with
three opposed. This rule continues in effect the modifications made to
the grade provisions of Sec. 905.306. Authority for this action is
provided in Sec. 905.52 of the order.
The increased minimum maturity requirements result in a sweeter
grapefruit being released into the marketplace, particularly during the
early months of the season. Lower maturity, which often translates into
a more tart or bitter grapefruit taste, is typical of early season
fresh-picked grapefruit. Market research indicates that a sweeter
grapefruit taste is more desirable to consumers and could contribute to
more repeat purchases of fresh grapefruit.
A ``Grapefruit Sensory Evaluation Study'' conducted by the FDOC in
1997, concluded that the major determinant of repeat purchases of fresh
grapefruit was the flavor of the consumer's first grapefruit purchase
of the season. The results of this study indicate a strong correlation
between sweetness of flavor and consumer's willingness to make
additional purchases. The more-bitter the consumer's initial grapefruit
experience, the less likely the consumer was to make an immediate
repeat purchase. Conversely, increased sweetness resulted in increased
repeat purchases of fresh grapefruit.
The Committee discussed the potential costs associated with this
action. It was mentioned that some producers could be disadvantaged by
increased costs. Such costs may include, for example, the need for
additional maturity checks and fruit that does not meet the higher
maturity requirements.
The changes in this rule may require some producers to run
additional maturity checks prior to harvest and shipping to ensure
maturity. While additional maturity checks could be required for some,
such checks are considered a standard practice within the industry and
are not expected to result in significant increased costs to producers.
Additional maturity tests could be avoided by simply delaying the
harvest of the groves in question. Also, the overall impact of this
change on shipments is expected to be minimal. Because grapefruit
continues to mature throughout the season, the overall impact on
industry shipments should be small, with only a small part of the
grapefruit crop, equal to or less than 2 percent of overall production,
possibly not meeting the increased maturity. The sliding scale also
provides some additional flexibility to help producers meet the higher
maturity requirements.
This rule may necessitate a delay in the onset of the fresh
grapefruit harvest for some producers. This may mean selling fruit
later in the season, and possibly missing the higher prices typically
available in the early-season. However, the higher maturity
requirements apply to all Florida fresh grapefruit. This change will
impact the entire industry, not just individual regions. Any harvesting
delays resulting from this increase in maturity will impact all regions
of the production area.
In addition, it is anticipated that this change will result in
higher consumer satisfaction and more repeat purchases, which should
strengthen demand and stabilize prices. Therefore, the Committee
believes the benefits gained from increased sales as a result of more
frequent consumer purchases outweigh any losses associated with
slightly lower prices received for shipments delayed due to increased
maturity requirements. Any additional harvesting costs should also be
compensated for through increased sales and stability in on-tree
prices.
The purpose of this rule is to help stabilize the market and
improve producer returns by increasing the number of repeat purchases
of grapefruit, particularly earlier in the season. Based on the
information given above, market research indicates this rule provides
the consumer with a product that is closer to consumer expectations in
terms of sweetness of flavor, therefore resulting in an increased
demand for fresh grapefruit. The opportunities and benefits of this
rule are expected to be available to all grapefruit handlers and
producers regardless of their size of operation.
The Committee considered alternatives to taking this action. One
alternative considered was a fixed maturity rate near the level
identified in the market research studies of 8.5 percent soluble solids
and an 8.0 to 1 solids to acid ratio or higher. Committee members
believed this option would be too drastic of a change to effectuate in
one season. While market research demonstrates that consumer tastes
prefer a higher soluble solids (sugars) and ratio combination and
sweeter taste, many producers would not be able to achieve that level
until much later into the season. Therefore, this option was rejected.
Another alternative considered was a fixed maturity rate of 8.0
percent soluble solids and a 7.5 to 1 solids to acid ratio without the
addition of an equivalent soluble solids and solids to acid ratio
sliding scale. However, due to geographical and climactic differences
between varying regions in the production area, some Committee members
believed that some producers would have more difficulty in achieving
the fixed rate, therefore disproportionately foregoing the more
lucrative early season sales. Therefore, this alternative was also
rejected.
The Committee also discussed leaving the regulations as previously
issued. However, the majority of Committee members agreed that some
change to minimum maturity was necessary to improve consumer demand for
fresh grapefruit and to help them compete in the present market.
Consequently, this alternative was also rejected.
This rule will not impose any additional reporting or recordkeeping
[[Page 71803]]
requirements on either small or large Florida grapefruit handlers. As
with all Federal marketing order programs, reports and forms are
periodically reviewed to reduce information requirements and
duplication by industry and public sector agencies. As noted in the
initial regulatory flexibility analysis, USDA has not identified any
relevant Federal rules that duplicate, overlap or conflict with this
rule. However, as previously stated, grapefruit have to meet certain
requirements set forth in the standards issued under the Agricultural
Marketing Act of 1946 (7 CFR 1621 et seq.). Standards issued under the
Agricultural Marketing Act of 1946 are otherwise voluntary.
The Committee's meeting was widely publicized throughout the citrus
industry and all interested persons were invited to attend the meeting
and participate in Committee deliberations on all issues. Like all
Committee meetings, the May 22, 2002, meeting was a public meeting and
all entities, both large and small, were able to express their views on
this issue.
An interim final rule concerning this action was published in the
Federal Register on August 28, 2002. Copies of the rule were mailed by
the Committee's staff to all Committee members and grapefruit handlers.
In addition, the rule was made available through the Internet by the
Office of the Federal Register and USDA. That rule provided for a 60-
day comment period, which ended October 28, 2002.
One comment was received during the comment period. The comment
favored the regulation as published. The commenter believes that this
is a positive move for the industry. According to the commenter, if the
marketing season is delayed until better tasting grapefruit is
available, consumers will not be as hesitant to make repeat purchases
and may purchase more often. Accordingly, no changes are made to the
rule based on the comment received.
A small business guide on complying with fruit, vegetable, and
specialty crop marketing agreements and orders may be viewed at: http://www.ams.usda.gov/fv/moab.html.
Any questions about the compliance
guide should be sent to Jay Guerber at the previously mentioned address
in the FOR FURTHER INFORMATION CONTACT section.
After consideration of all relevant material presented, including
the Committee's recommendation, and other information, it is found that
finalizing this interim final rule, without change, as published in the
Federal Register (67 FR 55101; August 28, 2002) will tend to effectuate
the declared policy of the Act.
List of Subjects in 7 CFR Part 905
Grapefruit, Marketing agreements, Oranges, Reporting and
recordkeeping requirements, Tangelos, Tangerines.
PART 905--ORANGES, GRAPEFRUIT, TANGERINES, AND TANGELOS GROWN IN
FLORIDA
Accordingly, the interim final rule amending 7 CFR part 905, which
was published at 67 FR 55101 on August 28, 2002, is adopted as a final
rule without change.
Dated: November 26, 2002.
A. J. Yates,
Administrator, Agricultural Marketing Service.
[FR Doc. 02-30584 Filed 12-2-02; 8:45 am]
BILLING CODE 3410-02-P