NOTE: A recent article that GMWatch posted from the Indian daily newspaper, The Hindu, claimed there had been no gene flow studies done on the genetically engineered Bt brinjal (eggplant/aubergine) that was recently approved by India's apex GM regulatory body, the GEAC. It was pointed out to us, however, that a recent report prepared for the GEAC by an Expert Committee explicitly referred to gene flow testing.
We drew this document to the attention of Dr. Doug Gurian-Sherman, a former biotech specialist at the U.S. Environmental Protection Agency, where he had had responsibility for assessing human health and environmental risks from genetically engineered plants and microorganisms and for developing biotechnology policy. 
Dr. Gurian-Sherman had already commented in a personal capacity in April of this year (item 2 below) on the evidence submitted on gene flow  by Mahyco, the company which is in a biotech joint venture with Monsanto. He has now also evaluated the comments on gene flow in the recent report of the Expert Committee (item 1). What emerges from Dr. Gurian-Sherman's comments is that while The Hindu was wrong to say that no gene flow testing had been done, on the basis of the evidence any such testing is not remotely adequate to determine the environmental risk of Bt brinjal. 
1.Comments by Doug Gurian-Sherman on the Report of the Expert Committee (EC-II) on Bt Brinjal Event EE-1 (developed by: M/s Maharashtra Hybrid Seeds Company Ltd. (Mahyco) and partners, and submitted to the Genetic Engineering Approval Committee, Ministry of Environment and Forests, Government of India, New Delhi, October 8 2009)
I have not seen this before, but it adds little to the record, except to clearly  acknowledge the possibility of gene flow to the brinjal wild relative S. incanum. It is  peculiar that they do not mention S. insanum as a wild relative of brinjal in  India. S. insanum seems to be widely recognized internationally as a species or  sub species related to brinjal, is reported to be widespread in India and weedy,  and is also reported to be sexually compatible with brinjal.
Without  details about how the tests reported in this report were performed, it is not  possible to evaluate them. The results for outcrossing at 30 meters I find  highly questionable. Bee pollination is well known to occur at up to several  kilometers, and I can't think of any reason why this would not occur at some  frequency for this crop. But I would have to see the actual protocols used in  the experiments to see if they reveal anything. I don't think that scientists  who work on gene flow internationally believe that isolation distance alone,  unless extreme, is an adequate deterrent to gene flow over time (in fact, the  U.S. National Academy of Sciences said as much in a report from  2004).
The short section on gene flow makes a lot of assertions--such as  the lack of impact of previous gene flow on biodiversity--without providing any  support for such claims. Is there really any data to back any of these  assertions? Furthermore, biodiversity of the crop (or wild relatives) is only  one issue of concern (the threat to crop biodiversity is probably greater for  replacement of brinjal landraces by Bt brinjal). Harm to the environment is  another (I gave examples of how this may occur in my paper on Bt brinjal and  gene flow). Even low levels of gene flow may be significant, because if the Bt  gene provides a fitness advantage to wild relatives, the presence of the Bt gene  in the wild population would spread greatly over time. This is not  controversial science, but very well established populations genetics. The  question is primarily, would fitness of wild relatives be increased, and if so,  would harm result. Eventually, if fitness is increased, the gene may occur in a  large proportion of the wild plant population, where it could possibly increase  the weediness of the wild plants (by increasing their survival in the face of  otherwise damaging insects), or harm insects, that feed on the wild plants, that  may be harmless or desirable.
It is surprising to me that this report  does not even acknowledge what is widely accepted science on gene flow and  possible ecological consequences. Perhaps the GEAC simply does not consider  these types of possible ecological impact to be of consequence, but if so, it  should say so explicitly, rather than rely upon incomplete tests as if they  answered these ecological questions. 
It may be that these possible harms  are minimal or even non-existent, but they certainly cannot be assumed without  proper tests, which the new statements in this report do not  disclose.
Doug    
2.Comments on Possible Consequences of Gene Flow from Bt Brinjal to Brinjal Wild Relatives in India, and the Inadequacy of the Current Risk Assessment
Doug  Gurian-Sherman, Ph.D, April 15 2009 [1] [2]
 
Summary
One important way  that genetically engineered (GE) crops may cause environmental harm is through  gene flow, which typically occurs when pollen from the GE crop fertilizes either  non-GE crop plants, or wild relatives of the crop. In this evaluation, I discuss  potential risks to the environment caused by gene flow from Bt brinjal to  brinjal wild relatives. I also evaluate how Mahyco has addressed this risk, and  make some suggestions about how to better determine the gene flow risks from Bt  brinjal.
 
The conclusions and recommendations in my evaluation are based  on existing data on gene flow in the scientific literature, as well as the  regulatory and legal record concerning gene flow from GE crops in the United  States.
 
Mahyco presents no data that I am aware of that assesses the  risks of gene flow from Bt brinjal to wild relatives. The company presents  limited data on gene flow distances, which cannot substitute for a risk  assessment of potential harm from gene flow, and is wholly inadequate to predict  gene flow if Bt brinjal were to be commercialized or grown in field trials in  areas where wild brinjal relatives are found.
 
Several wild relatives of  brinjal are found in India and have been shown to be sexually compatible with  brinjal. And it appears that at least one wild relative grows in or near brinjal  fields. Further, methods to prevent gene flow from crops to wild relatives  currently do not exist (there are some methods that can slow this process in  some crops).
 
Gene flow from Bt brinjal to wild relatives, if  commercialized, would therefore be virtually certain. Whether the Bt gene  becomes a permanent part of the environment in India would then depend on the  properties of the gene in the wild plants something that cannot be predicted  without performing tests. No such tests have been performed according to the  records available to me.[3]
 
Harm from gene flow may occur in several  ways, but not all gene flow is harmful.
If permanent gene flow were to occur,  possible harm to the environment can only be imperfectly predicted, and this can  only be accomplished by conducting additional tests.
 
These or similar  tests have also apparently not been performed.
 
Because of the high  possibility of gene flow from Bt brinjal to wild related species, and because  India is a center for domestication and genetic diversity of brinjal, I believe  that environmental risks due to gene flow from Bt brinjal should be seriously  considered and evaluated. The only reasonable way to do this is through an  understanding of the biology of wild relatives and their interactions with the  environment, and scientific studies including safety tests. Some examples of  such studies are outlined at the end of these comments. Because, apparently,  none of these studies have been performed, I conclude that the risk assessment  of Bt brinjal is seriously incomplete, and conclusions about environmental  safety are not adequately supported.
 
Evidence that gene flow from  genetically engineered crops may be harmful
The possibility of harm from  gene flow has been widely recognized by many scientists.[4] In the United  States, this recognition has been a major factor in regulatory action  restricting the commercialization of GE crops with wild relatives. For example,  concern about gene flow from GE creeping bentgrass (an important turf grass) to  several wild relatives growing in the United States resulted in the U.S.  Department of Agriculture (USDA) submitting GE creeping bentgrass to its highest  regulatory evaluation””an environmental impact statement (EIS) under the National  Environmental Policy Act.
 
Requiring an EIS had not occurred, I  believe, for any other GE crop until that time (this evaluation has been ongoing  for several years, and has yet to be completed). Recently, a U.S. Federal Court  ruled against the USDA on its regulatory handling of GE creeping bentgrass,  largely because of the possibility of gene flow. However, these actions may have  been too late to prevent gene flow, which occurred prior to the EIS or court  order.
 
The transgene escaped from a large field trial and now appears to  be established in the environment.[5]
 
The geographic restriction of Bt  cotton cultivation in the United States also demonstrates recognition of the  importance of gene flow by U.S. regulatory agencies.
 
The U.S.  Environmental Protection Agency (USEPA) prohibits the cultivation of commercial  Bt cotton in several parts of the southern United States, Hawaii and several  Caribbean islands because of the presence in those areas of wild cotton  relatives and the possibility that gene flow could cause environmental  harm.
 
The scientific community has also weighted in on the issues of  gene flow. The U.S. National Academy of Sciences (NAS 2002) severely  criticized the USDA for not adequately assessing possible harm from gene flow of  virus-resistance transgenes from GE squash to a wild relative,[6] and in  response USDA supported several studies to retroactively determine whether gene  flow could harm the environment. The subsequent studies suggest that these genes  may not be harmful in this case. It should be noted that the possibility of harm  from gene flow to wild squash was acknowledged and evaluated by USDA prior to  commercialization, so the concern by the NAS was that the USDA did not do a  thorough assessment. It is not enough to merely acknowledge the possibility of  gene flow and to argue that a particular transgene will not cause harm. The  regulators must also have adequate data to demonstrate that gene flow either  will not occur, or not be harmful if it does.
 
More recently, the  prevention of gene flow to a wild relative of sugar beets was an important part  of the regulatory assessment of GE sugar beets by USDA. There is a wild weedy  relative of sugar beets in California, and therefore seed production (where  flowering is involved and therefore potential gene flow) of GE sugar beets is  not allowed in California.
 
These and other examples, and the scientific  literature, establish that gene flow is considered to be one of the most  important environmental issues concerning GE crops.
 
It should also be  noted that for the examples discussed above, the United States is not a center  of domestication or genetic diversity for any of the crops. However, India is a  center of domestication and diversity for brinjal, and this adds additional  concern.[7] This is because centers of domestication usually have particularly  high genetic diversity of the crop and wild relatives (which can serve as  important sources of genes used in conventional breeding of many vitally  important traits, from pest resistance to drought tolerance). This diversity may  be harmed by gene flow.
 
It should also be noted that gene flow to a wild  relative will not necessarily cause harm (unless the mere permanent presence of  the transgene in the environment is considered to be harmful). However, the only  way to determine whether gene flow may cause harm is to perform appropriate  tests.
 
What has been done to determine whether gene flow to wild brinjal  relatives may occur, and whether this may be harmful?
 
Given the  widespread concern about gene flow, it is remarkable that there appears to be no  assessment of possible harm from gene flow from Bt brinjal to wild brinjal  relatives in India. The safety record available to me, apparently submitted to  GEAC, includes no gene flow safety data.
 
A few experiments were  performed to examine gene flow distances. But this is wholly inadequate, because  it is now clearly understood that after commercialization (and possibly also  during field trials) gene flow will occur if there are wild relatives in the  vicinity of the GE crop (whether this becomes permanent depends on the  interactions of the transgene with the wild relative and the environment). As  noted by the U.S. National Academy of Sciences, currently available technology  cannot prevent gene flow from occurring if wild relatives are present.[8] And  since the wild relative S. insanum, and possibly S. incanum, is found in or near  brinjal fields in India, gene flow is a virtual certainty.
 
It is known  that sexually compatible wild relatives of brinjal occur in India. For example,  “India: Country Report to the FAO International Technical Conference on Plant  Genetic Resources,” Leipzig, 1996, notes the presence (page 9) of the sexually  compatible wild relatives S. insanum and S. incanum in India. Dr. J. Karihaloo,  an international brinjal expert with the CGIAR, confirmed that S. insanum is  distributed throughout India, can be found growing in or near brinjal fields as  an occasional weed, and can cross with brinjal to form fertile hybrids, while S.  incanum may be restricted to Southern Indian scrub forests.[9] Therefore, Bt  gene flow is likely to S. insanum, and may also occur if brinjal fields are  located near scrub forests where S. incanum is found.
 
Several other  species may also be recipients of gene flow, although this is less clear.  Several published papers also establish the sexual compatibility of wild  species, and in fact Mahyco itself confirms this.[10]
 
The only data on  gene flow appears to be some studies that suggest gene flow occurs up to 15  meters.[11] However, gene flow distances are highly dependant on a number of  factors such as the size of the experimental plot, presence of pollinators,  weather conditions, etc., and tend to be highly variable. Limited tests of the  kind done by Mahyco are therefore highly unreliable for accurately predicting  gene flow distances.[12]
 
And given that gene flow for brinjal may occur  through pollinating insects, and many of these are known to pollinate flowers  over a distance of several kilometers, the limited data for brinjal gene flow  from Mahyco probably greatly underestimate gene flow distances. These data are  wholly inadequate to assess gene flow from multiple large field test plots or  commercialized Bt brinjal.
 
A clear example of the failure of these kinds  of gene flow distance predictions was the proposed isolation distance to  separate GE creeping bentgrass from wild relatives in the United States. This  isolation distance was initially set at 900 feet. Subsequent studies by USEPA  scientists indicated that gene flow actually occurred at distances of at least  21 km from a large field trial.[13] This and many other examples show that  limited experiments to determine adequate isolation distances (as done by  Mahyco) should be viewed with a very high degree of skepticism.[14]
 
If  the Bt gene makes a wild crop relative more able to survive and reproduce than  the wild relative without the transgene (in genetics terms, makes the wild  relative more fit), then population genetic theory clearly shows that the gene  will probably spread through the wild-relative population and become common in  it and a permanent part of the environment.[15] When this occurs, it becomes  virtually impossible to eradicate the gene from the natural environment, and  therefore, if it is harmful, that harm is highly likely to become a permanent  feature of the environment where the wild plants grow.
Once gene flow has  occurred and the gene has become established in the wild relative population,  harm can occur in several ways, depending on the properties of the gene, the  recipient wild relative, and the environment. If the wild relative containing  the transgene is more competitive toward other plant species than without the  gene, it will develop larger populations and to some extent replace other plants  in the environment. If the wild relative is an agricultural weed, then it may  become a more serious weed causing greater crop losses. An important wild  relative of Bt brinjal that can be the recipient of the Bt gene is S. insanum.  This plant is widely dispersed in India and may be found in and near brinjal  fields as an occasional weed, and therefore should be evaluated for its weed  potential if it received a Bt gene.
 
The Bt gene may make wild brinjal  relatives become more aggressive weeds by reducing damage from insects that are  susceptible to the Bt toxin, especially moth larvae of various species.  Preliminary data suggesting this kind of effect was reported in a peer reviewed  paper showing that a weedy wild relative of sunflowers that contained the Bt  gene survived and produced more progeny than the normal wild sunflowers without  the Bt gene.[16] This research suggests that if gene flow occurred from the Bt  sunflower crop to wild sunflower relatives, the gene would spread through the  wild population, and possibly cause environmental harm, such as by making the  wild sunflowers more aggressive weeds (Bt sunflower has not been approved or  commercialized in the United States). Unfortunately, the company that owns the  Bt gene forbade any further research using their Bt gene, so we still do not  know how much harm wild Bt sunflowers could cause. Whether a similar situation  may occur with Bt brinjal can only be determined by performing the proper  tests.
 
Another way that gene flow may cause environmental harm is if the  toxin kills organisms that use the wild brinjal relatives as a food source. This  is most likely to occur with moths and butterflies, but may also occur with  other organisms.[17] For example, laboratory studies have shown that Bt toxins  may harm a number of different insect species.[18] A recent scientific review,  for example, pointed out that some species of moths or butterflies are highly  dependent on wild sunflowers as a food source, and if they are killed or harmed  by the Bt gene, those species could face serious problems if the gene spread  through the wild sunflower populations.[19] Again, whether this may be the case  with wild brinjal relatives in India can only be determined by the appropriate  tests.
 
Gene flow may also reduce the genetic diversity of wild crop  relatives, and these wild relatives may be sources of genes that could be  important for improving brinjal.
 
There are several known instances of  loss of genetic diversity by wild relatives due to large amounts of gene flow  from the nearby crop (known examples are non-GE, but could also happen with  GE).[20] A gene that confers a powerful selective advantage (as Bt may) might  exacerbate such effects.
 
What should be done?
 
It is clear that  gene flow (at least the initial stages that lead to hybridization)  from brinjal to wild relatives in India is likely to occur, at least to S.  insanum, and possibly also to S. incanum. It is also clear from the literature  and scientific consensus that gene flow may cause environmental harm. Therefore,  the possibility of the Bt gene entering wild brinjal relatives and causing harm  should be taken seriously. What should therefore be done to determine if  permanent gene flow may occur and whether it would cause harm?
 
It is  beyond my intention to suggest a detailed testing regime that should be carried  out to determine whether Bt brinjal could cause environmental harm, but a few  brief examples may illustrate the kinds of studies that could be done, have been  done in the United States, or have been suggested by scientists.
 
First,  better data could be gathered as to the frequency of gene flow to S. insanum and  S. incanum, and the fertility and fitness of hybrids between them and brinjal.  The fitness of the gene in the wild relative itself should also be determined.  The main focus for S. insanum should probably be on fitness determinations,  because the data already available suggest that gene flow to this relative is  probably inevitable (although more data on gene flow would also be useful).  Fitness determinations would give an idea of the likelihood of the gene  spreading through wild relative populations (this was done in the U.S.,  belatedly, for a squash wild relative concerning possible gene flow of virus  resistance genes). For S. incanum, it appears that more data are needed to  determine whether it occurs in areas where brinjal is planted. If so, the  fitness of Bt brinjal:S. incanum hybrids, and S incanum containing the Bt gene,  should be determined.
 
Second, if the Bt gene increases the fitness of  wild relatives, it should be determined if this increases the competitiveness of  those relatives compared to other plants that grow with it, and also if Bt  enhances the weediness of the wild relative.
 
Third, it should be  determined whether wild relatives are important food sources for insects that  feed on it, especially moths and butterflies. This was done in the United States  after it was found that the Bt gene may harm the highly valued monarch butterfly  (in that case it was found that the most widely commercialized varieties of Bt  corn probably are not harmful to monarchs in the wild, but another type that had  more toxin in its pollen, could probably have caused harm if it had been more  widely grown).[21] If the wild brinjal relatives are important food sources,  those insect species that rely on brinjal should be tested for susceptibility to  the Bt toxin.
 
These tests, broadly speaking, are noted mainly to  highlight the glaring lack of any tests in the submissions of Mahyco, as far as  I can ascertain. It would be, in my opinion, a major oversight on the part of  the GEAC to allow the commercialization of Bt brinjal, or large-scale field  trials, without better understanding the implications of gene  flow.
 
Sincerely,
Doug Gurian-Sherman, Ph.D.
 
Notes
1 The  author has written this evaluation under his own auspices, rather than as a part  of any organization.
2 I would like to acknowledge invaluable background  information and publications from Dr. Marie-Christine Daunay, INRA, France. I  also thank Dr. J. Karihaloo for his kind responses to my inquiries about brinjal  wild relatives. It must be noted however, that the willingness of Drs. Daunay  and Karihaloo to supply information does not constitute an endorsement of the  views expressed in this paper.
3 The records that I have examined include:  “Field evaluation of Bt brinjal in limited field trials during growing season  2002-03,”, apparently submitted by Mahyco to GEAC; “Development of Fruit and  Shoot Borer Tolerant Brinjal” submitted to the GEAC by Mahyco in 2006. I have  also briefly examined other documents submitted to GEAC by Mahyco on toxicology  and effects on non target organisms.
4 Ellstrand N, 2003, “Dangerous  Liaisons? When Cultivated Plants Mate with Their Wild Relatives,” The Johns  Hopkins University Press, Baltimore, MD; Snow A.A. et al., 1997,  Commercialization of transgenic crops: potential ecological risks, BioScience  vol. 47:86-96; National Research Council, 2004, “Biological Confinement of  Genetically Engineered Organisms,” National Academies Press, Washington,  D.C.
5 Reichman, J.R. et al., 2006, Establishment of transgenic  herbicide-resistant creeping bentgrass (Agrostis stolonifera L.) in nonagronomic  habitats, Molecular Ecology vol. 15: 4243-4255
6 National Research Council,  2002, “Environmental Effects of Transgenic Plants: the Scope and Adequacy of  Regulation,” National Academies Press, Washington, DC
7 see, for example,  “India: Country Report to the FAO International Technical Conference on Plant  Genetic Resources,” Leipzig 1996
8 National Research Council, 2004, op.  cit.
9 J. Karihaloo, personal email communication with D. Gurian-Sherman,  February 11, 2007
10 see “Development of Fruit and Shoot Borer Tolerant  Brinjal” submitted to the GEAC by Mahyco in 2006
11 “Development of Fruit and  Shoot Borer Tolerant Brinjal,” op. cit.
12 Gurian-Sherman, D., 2006,  Contaminating the Wild? Gene Flow from Experimental Field Trials of Genetically  Engineered Crops to Related Wild Plants, Center for Food Safety, Washington, DC;  Ellstrand N, 2003, “Dangerous Liaisons? op. cit.
13 Watrud L et al, 2004,  Evidence for landscape-level, pollenmediated gene flow from genetically modified  creeping bentgrass with CP4 EPSPS as a marker, Proceedings of the National  Academy of Sciences USA 101(40):14,533-14,538
14 Gurian-Sherman, D., 2006,  Contaminating the Wild? op. cit.
15 National Research Council, 2004, op.  cit.; Ellstrand N, 2003, “Dangerous Liaisons? op. cit.
16 Snow AA et al.,  2003, A Bt transgene reduces herbivory and enhances fecundity in wild  sunflowers, Ecological Applications vol.13:279-186
17 It should be noted that  while some moths are important agricultural pests, many are important plant  pollinators.
18 Lövei, G.L. and S. Arpaia, 2004, The impact of transgenic  plants on natural enemies: a critical review of laboratory studies, Entomologia  Experimentalis et Applicata vol. 114: 1 14
19 Pilson D. and Prendeville H.R.,  2004, Ecological effects of transgenic crops and the escape of transgenes into  wild populations, Annual Review of Ecology Evolution and Systematics vol.  35:149-174
20 Ellstrand N, 2003, “Dangerous Liaisons? op. cit.
21  Stanley-Horn D.E. et al.,2001, Assessing the impact of Cry1Ab-expressing corn  pollen on monarch butterfly larvae in field studies, Proceedings of the National  Academy of Sciences USA vol. 98: 11,931 11,936
 
 
 
 
 










