The undersigned organizations represent industries that have a significant interest in the above referenced rulemaking. Members of our organizations will be substantially affected if the Agricultural Marketing Service (AMS or the agency) promulgates a final rule that is identical or similar to the March 12 proposed rule. That adverse impact will be even more significant if the agency elects to implement a final rule before the parties to the World Trade Organization (WTO) case that is the genesis of this rulemaking have the opportunity to present to that body their positions as to whether the final rule brings the United States into compliance

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