Sample letter to the EPA: to reduce wildlife deaths from secondary poisoning (eating poisoned rodents) Contact Jamie_Ray@comcast.net with any questions or comments about the sample letter or this issue. SFROMP.org has the EPA documents that are available for comment. EPA contact person is Kelly Sherman. Deadline for letters is May 18,2007 Thank you for writing / signing and sending attached letter. Submit your comments, identified by docket identification (ID) number EPA-HQ-OPP-2006-0955, by one of the following methods: • Federal eRulemaking Portal:http://www.regulations.gov. Follow the on-line instructions for submitting comments. -----------------------------------------------------------------------Office of Pesticide Programs (OPP) Regulatory Public Docket (7502P), Environmental Protection Agency, 1200 Pennsylvania Ave. NW., Washington, D.C. 20460-0001. Attn: Kelly Sherman Re: "Rodenticides; Proposed Risk Mitigation Decision; Notice of Availability"docket number EPA-HQ-OPP-2006-0955 Dear EPA, OPP staff and directors, Thank you for this opportunity to submit comments on the critical issue of reducing the negative impact that 2nd generation poisons have on our wildlife and children. Thank you for requiring that all rodenticides be applied in solid block form, and affixed within tamper resistant bait boxes to reduce the 20,000 annual reported incidents of child poisoning from eating rodent poison pellets, and reduce the poisoning of birds that eat poison pellets, thinking it is food. Thank you also for implementing programs that assist people in low- income housing complexes identify and close rodent entries into buildings, and identify and remove open food sources. More of these programs are needed! As reported in the EPA document open for public comment - the only effective way to reduce rodent poison use is to remove open food sources and rodent harborage. The loss of endangered species and the multitude of other species documented in the EPA document open for comment, from consuming rodents poisoned with 2nd generation rodenticides necessitates that these poisons be restricted to indoor use, and not be permitted to be used outdoors. Killing bald eagles, peregrine falcons, endangered California kit foxes, and all the other wildlife species that eat rodents or carrion, for the sake of killing rodents just does not make sense, and must not be allowed to continue. In light of the fact that poisoning rodents outside, around open food sources, has been proven to be ineffective in stopping rodents from congregating, the loss of these species is even more iniquitous. Pest Control Operators will continue to refill the poison bait boxes they place next to nearly every garbage dumpster across our country unless 2nd generation rodenticides are restricted to indoor use. This practice results in our environment being littered with poisoned rodent bodies – that are poisonous enough to kill the animals that are natural predators of rodents. Limiting wildlife exposure to only those rodents that are poisoned indoors and die outdoors is the only way to significantly reduce non-target wildlife deaths from secondary poisoning. The EPA document available for comment gives only cursory consideration to the proposed mitigation measure of limiting the 2nd generation rodenticides to indoor use. The document states that this proposed measure is of no value because rodents that are poisoned indoors may still die outdoors. This does not take into consideration the fact that Pest Control Operators fill bait boxes monthly around nearly every open food source across the country. The EPA document states that 1st generation rodenticides are effective for killing rodents, and that bait and switch (to non-toxic blocks) prevents bait shyness and resistance build up. PCO’s use 2nd generation rodenticides simply because they are available. It is clear that PCO’s do not expect rodenticides to stop rodent congregation around dumpsters. They sign annual contracts to refill bait boxes monthly, and renew these contracts annually. While this practice is not likely to be discontinued, the use of 2nd generation poisons that kill the animals that eat rodents and carrion must not be allowed to continue. Ideally these poisons should be placed on the severely restricted poison compound list, limiting their use to government employees and protection of national food storage and processing. However limiting the 2nd generation rodenticides to indoor use will save hundreds of thousands of lives nation wide annually. Thank you sincerely for revisiting this mitigation measure to protect wildlife, and doing all that is needed to implement this measure. Sincerely, Name Address For wildlife rehabilitators – please include any and all information about poisoned wildlife you have received. What species, how many, the work involved in treating, etc. I.e.: When we’re lucky enough to receive animals before they’ve lost too much blood, we begin injections of Vit K1 at high dose, and have the hard job of continuing this protocol twice a day for a minimum of 6 weeks. We’ve found that due to the persistence of 2nd generation rodenticides in the tissue of poisoned animals, (documented as 6 months), requires 6 weeks is the minimum treatment time to prevent loss of life as the poison is released from the tissue, and processed by the liver.