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Old 12-11-2003, 08:46 PM
  #21  
Nontypical Buck
 
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Join Date: Feb 2003
Location: DeFuniak Spr.Florida
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Default RE: for those who bait

Corn works for just baiting.I'm going to try Purina Deer Chow for all year feeding and see how it works.
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Old 12-12-2003, 06:51 AM
  #22  
Giant Nontypical
 
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Join Date: Oct 2003
Location: NC
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Default RE: for those who bait

It depends on the deer/not the area, I have learned.

Corn. Shelled or sometimes on the cob.
Sweetfeed 16% or higher.
Apples.
Salt block.
Deer Cane.
Rye.
Fescue.
Clover.
Acorns.
Whitehouse 100% apple juice. (pour over corn pile.)
Stump licker.
Persimmions.
Pears or peaches.
Soy beans.
Sweet pots.
Cabbage.

And the p-nut butter secret. (Don't tell anyone.)
Use a plastic jar. Screw off the lid and nail it to a tree about 4' high. Screw the jar back on. Cut off the end of the jar and watch out!!! It sometimes takes a while for the deer to find, but watch them when they do find it. They go crazy.
And believe it or not, some deer prefer different brands!

There are some more secrets but I better hush now...
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Old 12-12-2003, 07:43 AM
  #23  
Fork Horn
 
Join Date: Feb 2003
Location: madison county ohio
Posts: 339
Default RE: for those who bait

we use what we call "corn screenings" out of the combine to feed deer during the winter. sometimes will put some out in field after corn is gone or beans are gone. also use it to feed pheasent and other game just throw a pile out here and there.
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Old 12-12-2003, 07:54 AM
  #24  
 
Join Date: Nov 2003
Location: Hughesville,Md.
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Default RE: for those who bait

I am surprised that known of yall,Have used Beet Pulp w/Molases (oopss there goes a secret).
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Old 12-12-2003, 07:58 AM
  #25  
Giant Nontypical
 
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Default RE: for those who bait

James,

Beets and molases were to be kept quiet!!

So were turnups! Dang, forget that turnups don't work. How could they?
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Old 12-12-2003, 08:04 AM
  #26  
 
Join Date: Nov 2003
Location: Hughesville,Md.
Posts: 75
Default RE: for those who bait

Well I gave that advice to a few people this year and told them to keep it a secret.But after killing many deer over it,they had to run the mouths ,so I figured word would be around about Beet Pulps by now.Guess some are way behind.lol
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Old 12-12-2003, 11:03 AM
  #27  
 
Join Date: Dec 2003
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Default RE: for those who bait

> this is not a post about the ethics of baiting so please keep your opinions to

> yourself

Greetings TEXAS Hunters,

may not be a post about ethics, but let us look at the science about baiting.
some may not want to do this now, but eventually you will have no choice.

I have studied human/animal TSEs aka mad cow deer elk sheep people
disease for 6 years daily, since the death of my Mother to hvCJD
(Heidenhain Variant CJD). I only wish to pass the 'other side' of the
story to you. with 4.5 million Alzheimer's victims and 19 million taking
care of them, then you look at the 3 to 13 % that are diagnosed with
Alzheimer's, but actually having CJD (Yale, Duke, and PA study), well
the infamous 1 in a million for sporadic CJD is out the door.

with this said, please allow me to continue and please do not shoot the
messenger. I am no peta boogyman, I am no anti-meat activist,
I am an activist for the truth, nothing more, nothing less, and you
as a Hunter should be aware of many factors about human/animal TSEs.
This is not going away any time soon and with CWD knocking at the
TEXAS borders (NM White Sands), well, let me just add that TSEs
know no borders and the fences are not going to stop it.


-------- Original Message --------
Subject: Docket No. 03D-0186 DRAFT GUIDANCE ON USE OF MATERIAL FROM DEER AND ELK IN ANIMAL FEED AVAILABLE FOR COMMENT [TSS SUBMISSION]
Date: Wed, 09 Jul 2003 11:29:13 -0500
From: "Terry S. Singeltary Sr." <[email protected]>



May 14, 2003

DRAFT GUIDANCE ON USE OF MATERIAL FROM DEER AND ELK IN ANIMAL FEED AVAILABLE FOR COMMENT; CVM UPDATES ON DEER AND ELK IN ANIMAL FEED WITHDRAWN

The Food and Drug Administration is announcing the availability of a draft guidance for industry entitled “Use of Material From Deer and Elk in Animal Feed.” This draft guidance document (GFI #158), when finalized, will describe FDA’s current thinking regarding the use in animal feed of material from deer and elk that are positive for Chronic Wasting Disease (CWD) or that are at high risk for CWD.

CWD is a neurological (brain) disease of farmed and wild deer and elk that belong in the cervidae animal family (cervids). Only deer and elk are known to be susceptible to CWD by natural transmission. The disease has been found in farmed and wild mule deer, white-tailed deer, North American elk, and farmed black-tailed deer. CWD belongs to a family of animal and human diseases called transmissible spongiform encephalopathies (TSEs). TSEs are very rare, but are always fatal.

This draft Level 1 guidance, when finalized, will represent the Agency’s current thinking on the topic. It does not create or confer any rights for or on any person and does not operate to bind FDA or the public. An alternate method may be used as long as it satisfies the requirements of applicable statutes and regulations.

Draft guidance #158 <http://www.fda.gov/cvm/guidance/documents#documents> is posted on the FDA/Center for Veterinary Medicine Home Page. Single copies of the draft guidance may be obtained by writing to the Communications Staff, FDA/Center for Veterinary Medicine, 7519 Standish Place, HFV-12, Rockville, MD 20855, 301-827-3800. Please send one self-addressed adhesive label to assist in processing your request.

Written comments on the draft guidance may be submitted to the Dockets Management Branch (HFA-305), Food and Drug Administration, 5630 Fishers Lane, Room 1061, Rockville, MD 20852. Electronic comments <http://www.accessdata.fda.gov/script...docket.cfm> may be submitted. Comments should be identified with the full title of the draft guidance and Docket number 03D-0186. Written comments on the draft guidance may be submitted at any time; however, comments should be submitted by June 13, 2003, to ensure their adequate consideration in preparation of the final document.

------------------------------------------------------------------------

Issued by:
FDA, Center for Veterinary Medicine,
Communications Staff, HFV-12
7519 Standish Place, Rockville, MD 20855
Telephone: (301) 827-3800 FAX: (301) 827-4065
Internet Web Site: http://www.fda.gov/cvm

http://www.fda.gov/cvm/index/updates/CWDGuide.htm


<http://www.fda.gov/cvm>
158

Guidance for Industry
Use of Material from Deer and Elk in Animal Feed
DRAFT GUIDANCE
This draft guidance is being distributed for comment purposes only.
Comments and suggestions regarding this draft guidance should be
sent to the Dockets Management Branch (HFA-305), Food and Drug
Administration, 5630 Fishers Lane, Room 1061, Rockville, MD 20852.
Comments may also be submitted electronically on the Internet at
http://www.fda.gov/dockets/ecomments. Once on this Internet site,
select "[03D-0186][Use of Material from Deer and Elk in Animal
Feed]" and follow the directions. All written comments should be
identified with Docket No. 03D-0186.
For questions regarding this draft document, contact Burt Pritchett,
Center for Veterinary Medicine (HFV- 222), Food and Drug
Administration, 7500 Standish Place, Rockville, MD 20855,
301-827-0177. E-mail: [email protected]
Additional copies of this draft guidance document may be requested
from the Communications Staff (HFV-12), Center for Veterinary
Medicine, Food and Drug Administration, 7500 Standish Place,
Rockville, MD 20855, and may be viewed on the Internet at
http://www.fda.gov/cvm.

U.S. Department of Health and Human Services
Food and Drug Administration
Center for Veterinary Medicine
May 14, 2003
158
Guidance for Industry
Use of Material from Deer and Elk in Animal Feed


I. Introduction
FDA’s guidance documents, including this guidance, do not establish
legally enforceable responsibilities. Instead, guidances describe
the Agency’s current thinking on a topic and should be viewed only
as recommendations, unless specific regulatory or statutory
requirements are cited. The use of the word “should” in Agency
guidances means that something is suggested or recommended, but not
required.
Under FDA’s BSE feed regulation (21 CFR 589.2000) most material from
deer and elk is prohibited for use in feed for ruminant animals.
This draft guidance document describes FDA’s recommendations
regarding the use in all animal feed of all material from deer and
elk that are positive for Chronic Wasting Disease (CWD) or are
considered at high risk for CWD. The potential risks from CWD to
humans or non-cervid animals such as poultry and swine are not well
understood. However, because of recent recognition that CWD is
spreading rapidly in white-tailed deer, and because CWD’s route of
transmission is poorly understood, FDA is making recommendations
regarding the use in animal feed of rendered materials from deer and
elk that are CWD-positive or that are at high risk for CWD.
II. Background
CWD is a neurological (brain) disease of farmed and wild deer and
elk that belong in the animal family cervidae (cervids). Only deer
and elk are known to be susceptible to CWD by natural transmission.
The disease has been found in farmed and wild mule deer,
white-tailed deer, North American elk, and in farmed black-tailed
deer. CWD belongs to a family of animal and human diseases called
transmissible spongiform encephalopathies (TSEs). These include
bovine spongiform encephalopathy (BSE or “mad cow” disease) in
cattle; scrapie in sheep and goats; and classical and variant
Creutzfeldt-Jakob diseases (CJD and vCJD) in humans. There is no
known treatment for these diseases, and there is no vaccine to
prevent them. In addition, although validated postmortem diagnostic
tests are available, there are no validated diagnostic tests for CWD
that can be used to test for the disease in live animals.
III. Use in animal feed of material from CWD-positive deer and elk
Material from CWD-positive animals may not be used in any animal
feed or feed ingredients. Pursuant to Sec. 402(a)(5) of the Federal
Food, Drug, and Cosmetic Act, animal feed and feed ingredients
containing material from a CWD-positive animal would be considered
adulterated. FDA recommends that any such adulterated feed or feed
ingredients be recalled or otherwise removed from the marketplace.
IV. Use in animal feed of material from deer and elk considered at
high risk for CWD
Deer and elk considered at high risk for CWD include: (1) animals
from areas declared by State officials to be endemic for CWD and/or
to be CWD eradication zones; and (2) deer and elk that at some time
during the 60-month period immediately before the time of slaughter
were in a captive herd that contained a CWD-positive animal.
FDA recommends that materials from deer and elk considered at high
risk for CWD no longer be entered into the animal feed system. Under
present circumstances, FDA is not recommending that feed made from
deer and elk from a non-endemic area be recalled if a State later
declares the area endemic for CWD or a CWD eradication zone. In
addition, at this time, FDA is not recommending that feed made from
deer and elk believed to be from a captive herd that contained no
CWD-positive animals be recalled if that herd is subsequently found
to contain a CWD-positive animal.
V. Use in animal feed of material from deer and elk NOT considered
at high risk for CWD
FDA continues to consider materials from deer and elk NOT considered
at high risk for CWD to be acceptable for use in NON-RUMINANT animal
feeds in accordance with current agency regulations, 21 CFR
589.2000. Deer and elk not considered at high risk include: (1) deer
and elk from areas not declared by State officials to be endemic for
CWD and/or to be CWD eradication zones; and (2) deer and elk that
were not at some time during the 60-month period immediately before
the time of slaughter in a captive herd that contained a
CWD-positive animal.

http://www.fda.gov/cvm/guidance/dguide158.pdf

-------- Original Message --------
Subject: DOCKET-- 03D-0186 -- FDA Issues Draft Guidance on Use of
Material >From Deer and Elk in Animal Feed; Availability
Date: Fri, 16 May 2003 11:47:37 -0500
From: "Terry S. Singeltary Sr."
To: [email protected]


Greetings FDA,

i would kindly like to comment on;

Docket 03D-0186

FDA Issues Draft Guidance on Use of Material >From Deer and Elk in
Animal
Feed; Availability

Several factors on this apparent voluntary proposal disturbs me greatly,
please allow me to point them out;

1. MY first point is the failure of the partial ruminant-to-ruminant
feed
ban of 8/4/97. this partial and voluntary feed ban of some ruminant
materials being fed back to cattle is terribly flawed. without the
_total_ and _mandatory_ ban of all ruminant materials being fed
back to ruminants including cattle, sheep, goat, deer, elk and mink,
chickens, fish (all farmed animals for human/animal consumption),
this half ass measure will fail terribly, as in the past decades...

2. WHAT about sub-clinical TSE in deer and elk? with the recent
findings of deer fawns being infected with CWD, how many could
possibly be sub-clinically infected. until we have a rapid TSE test to
assure us that all deer/elk are free of disease (clinical and
sub-clinical),
we must ban not only documented CWD infected deer/elk, but healthy
ones as well. it this is not done, they system will fail...

3. WE must ban not only CNS (SRMs specified risk materials),
but ALL tissues. recent new and old findings support infectivity
in the rump or ass muscle. wether it be low or high, accumulation
will play a crucial role in TSEs.

4. THERE are and have been for some time many TSEs in the
USA. TME in mink, Scrapie in Sheep and Goats, and unidentified
TSE in USA cattle. all this has been proven, but the TSE in USA
cattle has been totally ignored for decades. i will document this
data below in my references.

5. UNTIL we ban all ruminant by-products from being fed back
to ALL ruminants, until we rapid TSE test (not only deer/elk) but
cattle in sufficient numbers to find (1 million rapid TSE test in
USA cattle annually for 5 years), any partial measures such as the
ones proposed while ignoring sub-clinical TSEs and not rapid TSE
testing cattle, not closing down feed mills that continue to violate the
FDA's BSE feed regulation (21 CFR 589.2000) and not making
freely available those violations, will only continue to spread these
TSE mad cow agents in the USA. I am curious what we will
call a phenotype in a species that is mixed with who knows
how many strains of scrapie, who knows what strain or how many
strains of TSE in USA cattle, and the CWD in deer and elk (no
telling how many strains there), but all of this has been rendered
for animal feeds in the USA for decades. it will get interesting once
someone starts looking in all species, including humans here in the
USA, but this has yet to happen...

6. IT is paramount that CJD be made reportable in every state
(especially ''sporadic'' cjd), and that a CJD Questionnaire must
be issued to every family of a victim of TSE. only checking death
certificates will not be sufficient. this has been proven as well
(see below HISTORY OF CJD -- CJD QUESTIONNAIRE)

7. WE must learn from our past mistakes, not continue to make
the same mistakes...

REFERENCES

Six white-tailed deer fawns test positive for CWD

MADISON -- Six fawns in the area of south central Wisconsin where
chronic wasting disease has been found in white-tailed deer have tested
positive for the disease, according to Department of Natural Resources
wildlife health officials. These are the youngest wild white-tailed deer
detected with chronic wasting disease (CWD) to date.

Approximately 4,200 fawns, defined as deer under 1 year of age, were
sampled from the eradication zone over the last year. The majority of
fawns sampled were between the ages of 5 to 9 months, though some were
as young as 1 month. Two of the six fawns with CWD detected were 5 to 6
months old. All six of the positive fawns were taken from the core area
of the CWD eradication zone where the highest numbers of positive deer
have been identified.

snip...

http://www.dnr.state.wi.us/org/caer/...30513.htm#art4

================================================== =

Issued: Monday, 28 August 2000
NEW EVIDENCE OF SUB-CLINICAL PRION INFECTION: IMPORTANT RESEARCH
FINDINGS RELEVANT TO CJD AND BSE

A team of researchers led by Professor John Collinge at the Medical
Research Council Prion Unit1 report today in the Proceedings of the
National Academy of Sciences, on new evidence for the existence of a
'sub-clinical' form of BSE in mice which was unknown until now.

The scientists took a closer look at what is known as the 'species
barrier' - the main protective factor which limits the ability of
prions2 to jump from one species to infect another. They found the mice
had a 'sub-clinical' form of disease where they carried high levels of
infectivity but did not develop the clinical disease during their normal
lifespan. The idea that individuals can carry a disease and show no
clinical symptoms is not new. It is commonly seen in conventional
infectious diseases.

Researchers tried to infect laboratory mice with hamster prions3 called
Sc237 and found that the mice showed no apparent signs of disease.
However, on closer inspection they found that the mice had high levels
of mouse prions in their brains. This was surprising because it has
always been assumed that hamster prions could not cause the disease in
mice, even when injected directly into the brain.

In addition the researchers showed that this new sub-clinical infection
could be easily passed on when injected into healthy mice and hamsters.

The height of the species barrier varies widely between different
combinations of animals and also varies with the type or strain of
prions. While some barriers are quite small (for instance BSE easily
infects mice), other combinations of strain and species show a seemingly
impenetrable barrier. Traditionally, the particular barrier studied here
was assumed to be robust.

Professor John Collinge said: "These results have a number of important
implications. They suggest that we should re-think how we measure
species barriers in the laboratory, and that we should not assume that
just because one species appears resistant to a strain of prions they
have been exposed to, that they do not silently carry the infection.
This research raises the possibility, which has been mentioned before,
that apparently healthy cattle could harbour, but never show signs
of, BSE.

"This is a timely and unexpected result, increasing what we know about
prion disease. These new findings have important implications for those
researching prion disease, those responsible for preventing infected
material getting into the food chain and for those considering how best
to safeguard health and reduce the risk that theoretically, prion
disease could be contracted through medical and surgical procedures."

ISSUED FRIDAY 25 AUGUST UNDER EMBARGO. PLEASE NOTE THAT THE EMBARGO IS
SET BY THE JOURNAL.

FOR FURTHER INFORMATION CONTACT THE MRC PRESS OFFICE ON 020 7637 6011
(OFFICE HOURS) OR 07818 428297 OR 0385 774357 (OUT-OF-OFFICE-HOURS) OR
PROFESSOR JOHN COLLINGE ON 020 7594 3760. PLEASE NOTE THAT OWING TO
TRAVEL COMMITMENTS PROFESSOR COLLINGE WILL ONLY BE AVAILABLE UNTIL 16.30
ON FRIDAY 25 AUGUST AND CONTACTABLE AGAIN ON MONDAY 28 AUGUST VIA THE
MRC PRESS OFFICE. DR ANDREW HILL (A CO-AUTHOR ON THE PAPER) FROM THE
DEPARTMENT OF PATHOLOGY AT THE UNIVERSITY OF MELBOURNE WILL BE AVAILABLE
ON 00 61 3 8344 3995 (DURING OFFICE HOURS) OR 00 61 3 9443 0009
(OUT-OF-OFFICE HOURS). PLEASE NOTE THAT AUSTRALIA IS TEN HOURS AHEAD OF
UK TIME.

NOTES FOR EDITORS

Professor Collinge is a consultant neurologist and Director of the newly
formed MRC Prion Unit based at The Imperial College School of Medicine
at St Mary's Hospital. He is also a member of the UK Government's
Spongiform Encephalopathy Advisory Committee (SEAC). The MRC prion unit
is was set up in 1999, and its work includes molecular genetic studies
of human prion disease and transgenic modelling of human prion diseases.

Prions are unique infectious agents that cause fatal brain diseases such
as Creutzfeldt-Jakob disease (CJD) in humans and scrapie and BSE (mad
cow disease) in animals. In some circumstances prions from one species
of animals can infect another and it is clear that BSE has done this to
cause the disease variant CJD in the UK and France. It remains unclear
how large an epidemic of variant CJD will occur over the years ahead.

The strain of prion used here to infect the mice is the Sc237 strain
(also known as 263K) which infects hamsters, and until now was assumed
not to infect mice.

This research was funded by the Medical Research Council and
Wellcome Trust.

The Medical Research Council (MRC) is a national organisation funded by
the UK tax-payer. Its business is medical research aimed at improving
human health; everyone stands to benefit from the outputs. The research
it supports and the scientists it trains meet the needs of the health
services, the pharmaceutical and other health-related industries and the
academic world. MRC has funded work which has led to some of the most
significant discoveries and achievements in medicine in the UK. About
half of the MRC's expenditure of £345 million is invested in over 50 of
its Institutes and Units, where it employs its own research staff. The
remaining half goes in the form of grant support and training awards to
individuals and teams in universities and medical schools.

The Wellcome Trust is the world's largest medical research charity with
a spend of some £600 million in the current financial year 1999/2000.
The Wellcome Trust supports more than 5,000 researchers, at 400
locations, in 42 different countries to promote and foster research with
the aim of improving human and animal health. As well as funding major
initiatives in the public understanding of science, the Wellcome Trust
is the country's leading supporter of research into the history of
medicine.

©2002 Medical Research Council
Data Protection policy | Contact the MRC

http://www.mrc.ac.uk/index/public_in...-mrc-43-00.htm

======================================

Oral transmission and early lymphoid tropism of chronic wasting disease
PrPres in mule deer fawns (Odocoileus hemionus )
Christina J. Sigurdson1, Elizabeth S. Williams2, Michael W. Miller3,
Terry R. Spraker1,4, Katherine I. O'Rourke5 and Edward A. Hoover1

Department of Pathology, College of Veterinary Medicine and Biomedical
Sciences, Colorado State University, Fort Collins, CO 80523- 1671, USA1
Department of Veterinary Sciences, University of Wyoming, 1174 Snowy
Range Road, University of Wyoming, Laramie, WY 82070, USA 2
Colorado Division of Wildlife, Wildlife Research Center, 317 West
Prospect Road, Fort Collins, CO 80526-2097, USA3
Colorado State University Veterinary Diagnostic Laboratory, 300 West
Drake Road, Fort Collins, CO 80523-1671, USA4
Animal Disease Research Unit, Agricultural Research Service, US
Department of Agriculture, 337 Bustad Hall, Washington State University,
Pullman, WA 99164-7030, USA5

Author for correspondence: Edward Hoover.Fax +1 970 491 0523. e-mail
[email protected]

Mule deer fawns (Odocoileus hemionus) were inoculated orally with a
brain homogenate prepared from mule deer with naturally occurring
chronic wasting disease (CWD), a prion-induced transmissible spongiform
encephalopathy. Fawns were necropsied and examined for PrP res, the
abnormal prion protein isoform, at 10, 42, 53, 77, 78 and 80 days
post-inoculation (p.i.) using an immunohistochemistry assay modified to
enhance sensitivity. PrPres was detected in alimentary-tract-associated
lymphoid tissues (one or more of the following: retropharyngeal lymph
node, tonsil, Peyer's patch and ileocaecal lymph node) as early as 42
days p.i. and in all fawns examined thereafter (53 to 80 days p.i.). No
PrPres staining was detected in lymphoid tissue of three control fawns
receiving a control brain inoculum, nor was PrPres detectable in neural
tissue of any fawn. PrPres-specific staining was markedly enhanced by
sequential tissue treatment with formic acid, proteinase K and hydrated
autoclaving prior to immunohistochemical staining with monoclonal
antibody F89/160.1.5. These results indicate that CWD PrP res can be
detected in lymphoid tissues draining the alimentary tract within a few
weeks after oral exposure to infectious prions and may reflect the
initial pathway of CWD infection in deer. The rapid infection of deer
fawns following exposure by the most plausible natural route is
consistent with the efficient horizontal transmission of CWD in nature
and enables accelerated studies of transmission and pathogenesis in the
native species.

snip...

These results indicate that mule deer fawns develop detectable PrP res
after oral exposure to an inoculum containing CWD prions. In the
earliest post-exposure period, CWD PrPres was traced to the lymphoid
tissues draining the oral and intestinal mucosa (i.e. the
retropharyngeal lymph nodes, tonsil, ileal Peyer's patches and
ileocaecal lymph nodes), which probably received the highest initial
exposure to the inoculum. Hadlow et al. (1982) demonstrated scrapie
agent in the tonsil, retropharyngeal and mesenteric lymph nodes, ileum
and spleen in a 10-month-old naturally infected lamb by mouse bioassay.
Eight of nine sheep had infectivity in the retropharyngeal lymph node.
He concluded that the tissue distribution suggested primary infection
via the gastrointestinal tract. The tissue distribution of PrPres in the
early stages of infection in the fawns is strikingly similar to that
seen in naturally infected sheep with scrapie. These findings support
oral exposure as a natural route of CWD infection in deer and support
oral inoculation as a reasonable exposure route for experimental studies
of CWD.

snip...

http://vir.sgmjournals.org/cgi/content/full/80/10/2757
===================================

now, just what is in that deer feed? _ANIMAL PROTEIN_

Subject: MAD DEER/ELK DISEASE AND POTENTIAL SOURCES
Date: Sat, 25 May 2002 18:41:46 -0700
From: "Terry S. Singeltary Sr."
Reply-To: BSE-L
To: BSE-L

8420-20.5% Antler Developer
For Deer and Game in the wild
Guaranteed Analysis Ingredients / Products Feeding Directions

snip...

_animal protein_

http://www.surefed.com/deer.htm

BODE'S GAME FEED SUPPLEMENT #400
A RATION FOR DEER
NET WEIGHT 50 POUNDS
22.6 KG.

snip...

_animal protein_

http://www.bodefeed.com/prod7.htm

Ingredients

Grain Products, Plant Protein Products, Processed Grain By-Products,
Forage Products, Roughage Products 15%, Molasses Products,
__Animal Protein Products__,
Monocalcium Phosphate, Dicalcium Pyosphate, Salt,
Calcium Carbonate, Vitamin A Acetate with D-activated Animal Sterol
(source of Vitamin D3), Vitamin E Supplement, Vitamin B12 Supplement,
Riboflavin Supplement, Niacin Supplement, Calcium Panothenate, Choline
Chloride, Folic Acid, Menadione Soduim Bisulfite Complex, Pyridoxine
Hydorchloride, Thiamine Mononitrate, d-Biotin, Manganous Oxide, Zinc
Oxide, Ferrous Carbonate, Calcium Iodate, Cobalt Carbonate, Dried
Sacchoromyces Berevisiae Fermentation Solubles, Cellulose gum,
Artificial Flavors added.

http://www.bodefeed.com/prod6.htm
===================================

MORE ANIMAL PROTEIN PRODUCTS FOR DEER

Bode's #1 Game Pellets
A RATION FOR DEER
F3153

GUARANTEED ANALYSIS
Crude Protein (Min) 16%
Crude Fat (Min) 2.0%
Crude Fiber (Max) 19%
Calcium (Ca) (Min) 1.25%
Calcium (Ca) (Max) 1.75%
Phosphorus (P) (Min) 1.0%
Salt (Min) .30%
Salt (Max) .70%


Ingredients

Grain Products, Plant Protein Products, Processed Grain By-Products,
Forage Products, Roughage Products, 15% Molasses Products,
__Animal Protein Products__,
Monocalcium Phosphate, Dicalcium Phosphate, Salt,
Calcium Carbonate, Vitamin A Acetate with D-activated Animal Sterol
(source of Vitamin D3) Vitamin E Supplement, Vitamin B12 Supplement,
Roboflavin Supplement, Niacin Supplement, Calcium Pantothenate, Choline
Chloride, Folic Acid, Menadione Sodium Bisulfite Complex, Pyridoxine
Hydrochloride, Thiamine Mononitrate, e - Biotin, Manganous Oxide, Zinc
Oxide, Ferrous Carbonate, Calcium Iodate, Cobalt Carbonate, Dried
Saccharyomyces Cerevisiae Fermentation Solubles, Cellulose gum,
Artificial Flavors added.

FEEDING DIRECTIONS
Feed as Creep Feed with Normal Diet

http://www.bodefeed.com/prod8.htm

INGREDIENTS

Grain Products, Roughage Products (not more than 35%), Processed Grain
By-Products, Plant Protein Products, Forage Products,
__Animal Protein Products__,
L-Lysine, Calcium Carbonate, Salt, Monocalcium/Dicalcium
Phosphate, Yeast Culture, Magnesium Oxide, Cobalt Carbonate, Basic
Copper Chloride, Manganese Sulfate, Manganous Oxide, Sodium Selenite,
Zinc Sulfate, Zinc Oxide, Sodium Selenite, Potassium Iodide,
Ethylenediamine Dihydriodide, Vitamin E Supplement, Vitamin A
Supplement, Vitamin D3 Supplement, Mineral Oil, Mold Inhibitor, Calcium
Lignin Sulfonate, Vitamin B12 Supplement, Menadione Sodium Bisulfite
Complex, Calcium Pantothenate, Riboflavin, Niacin, Biotin, Folic Acid,
Pyridoxine Hydrochloride, Mineral Oil, Chromium Tripicolinate

DIRECTIONS FOR USE

Deer Builder Pellets is designed to be fed to deer under range
conditions or deer that require higher levels of protein. Feed to deer
during gestation, fawning, lactation, antler growth and pre-rut, all
phases which require a higher level of nutrition. Provide adequate
amounts of good quality roughage and fresh water at all times.

http://www.profilenutrition.com/Prod...r_pellets.html
================================================== =

DEPARTMENT OF HEALTH & HUMAN SERVICES
PUBLIC HEALTH SERVICE
FOOD AND DRUG ADMINISTRATION

April 9, 2001 WARNING LETTER

01-PHI-12
CERTIFIED MAIL
RETURN RECEIPT REQUESTED

Brian J. Raymond, Owner
Sandy Lake Mills
26 Mill Street
P.O. Box 117
Sandy Lake, PA 16145
PHILADELPHIA DISTRICT

Tel: 215-597-4390

Dear Mr. Raymond:

Food and Drug Administration Investigator Gregory E. Beichner conducted
an inspection of your animal feed manufacturing operation, located in
Sandy Lake, Pennsylvania, on March 23,
2001, and determined that your firm manufactures animal feeds including
feeds containing prohibited materials. The inspection found significant
deviations from the requirements set forth in
Title 21, code of Federal Regulations, part 589.2000 - Animal Proteins
Prohibited in Ruminant Feed. The regulation is intended to prevent the
establishment and amplification of Bovine Spongiform Encephalopathy
(BSE) . Such deviations cause products being manufactured at this
facility to be misbranded within the meaning of Section 403(f), of the
Federal Food, Drug, and Cosmetic
Act (the Act).

Our investigation found failure to label your
swine feed with the required cautionary statement "Do Not Feed to cattle
or other Ruminants" The FDA suggests that the statement be
distinguished
by different type-size or color or other means of highlighting the
statement so that it is easily noticed by a purchaser.

In addition, we note that you are using approximately 140 pounds of
cracked corn to flush your mixer used in the manufacture of animal
feeds containing prohibited material. This
flushed material is fed to wild game including deer, a ruminant animal.
Feed material which may potentially contain prohibited material should
not be fed to ruminant animals which may become part of the food chain.

The above is not intended to be an all-inclusive list of deviations from
the regulations. As a manufacturer of materials intended for animal
feed use, you are responsible for assuring that your overall operation
and the products you manufacture and distribute are in compliance with
the law. We have enclosed a copy of FDA's Small Entity Compliance Guide
to assist you with complying with the regulation... blah, blah, blah...

http://www.fda.gov/foi/warning_letters/g1115d.pdf
==================================

-------- Original Message --------
Subject: ON THE ORIGIN OF MINK TME MARSH/HANSON (Scrapie in USA sheep,
to TSE in USA cattle, or BOTH)
Date: Thu, 15 May 2003 15:23:46 -0500
From: "Terry S. Singeltary Sr."
Reply-To: Bovine Spongiform Encephalopathy
To: [email protected]

######## Bovine Spongiform Encephalopathy #########

ABSTRACT--studies on mink susceptibility to sources of scrapie
from the United States, but not from the United Kingdom, indicate that
transmissible mink encephalopathy (TME) most likely originates from
mink fed scrapie-infected sheep or goat tissues.
Experiments further suggest that the shortest natural route of
infection is
via bite wounds inflicted by littermates rather than by the oral route
per se.
Other studies, on the biologic characterization of TME agent from Sawyer
County, Wisconsin, indicate that this particular source of TME is
composed
of a mixture of subpopulations which include a hamster pathogen and a
mink-monkey pathogen...

snip...

with so many disease features in common, it would seem a simple matter
to demonstrate that TME results from feeding scrapie-infected tissue to
mink.
BUT such has not been the case. Epizootiologic studies of the 14
worldwide
occurrences of TME have revealed probably exposure to scrapie in
only one
instance, a 1965 incidence in Finland in which the affected farm was the
only
one in the area feeding sheep heads (Kangas, personal communication).
Experimentally, mink have been found to be susceptible to some
sources of
scrapie and the disease produces was indistinguishable from TME (6)...

snip...

The purpose of these present studies was to attempt to explain
differences
between field and experimental observations, and to further characterize
the
biologic properties of the Sawyer County, Wisconsin, isolate of TME.
Our results indicate that mink are more susceptible to sources of
scrapie
present in the UNITED STATES that those found in the UK, and that
BITE WOUNDS from littermates may represent a significant route of
natural exposure...

snip...

This Nubian X Toggenburg buck was naturally infected via exposure to
scrapie-contaminated pasture at Mission, TEXAS; the pasture being
previously occupied by a flock of scrapie-affected Suffolk sheep. At 6
months
of age, animal B-834 was removed from exposure and placed in a pen where
he subsequently developed signs of scrapie at 40 months of age...

snip...

Therefore, it should be expected that the pathology of natural TME
will vary
depending on the source of scrapie to which mink are exposed.
Johannsen and Hartung have reported an incidence of TME occuring
in East Germany in 1967 in which affected mink had diffuse cerebral
''edema'' and widespread lesions in the spinal cord (10)...

snip...

Even though B-834 produced short incubation periods when inoculated
intracerebrally, exposure by the oral route was ineffective during an
observation period of two years. Thus, we once again seem to have a
conflict between field and experimental data. However, Gajdusek
has suggested that the main route of entry for these transmissible
agents
is not the oral route per se, but rather via breaks or abrasions of
skin and
mucosal surfaces (11).

full text;

http://www.bseinquiry.gov.uk/files/mb/m08/tab016.pdf

years later Marsh finds out;

Part of the Proceedings of an International Roundtable on Bovine
Spongiform Encephalopathy, Bethesda, Maryland, USA, June 27-28, 1989.

The possibility of infection with BSE in the United States, as defined
by studies on the disease in Great Britain, is judged to be low on the
basis of the following: (1) meat and bonemeals imported into the United
States from Great Britain between 1980 and 1988 were used mainly in
poultry, not ruminant feed; (2) the Scrapie Eradication Program had
reduced the prevalence of scrapie in the United States compared with
that in Great Britain; and (3) little, if any, rendered animal products
are used for protein supplements in cattle feed in the United States.
However, there is some evidence that there may already be a scrapie-like
disease in cattle in the United States. This evidence comes from
epidemiologic studies on an incident of transmissible mink
encephalopathy (TME) in Stetsonville, Wis, in 1985. This mink farmer
used no commercially available animal by-product mixtures in his feed,
but instead slaughtered all animals going into the mink diet, which
included mostly (>95%) "downer" dairy cows, a few horses, but never
sheep. To examine the possibility that cattle may have been the source
of this incident of TME, two 6-week-old Holstein bull calves were
inoculated intracerebrally with mink brain from the affected farm. The
bulls developed neurologic disease 18 and 19 months after inoculation.
Both brains had spongiform degeneration at necropsy and both were
transmissible back to mink by either intracerebral (incubation period of
4 months) or oral (incubation period of 7 months) inoculation
Whereas TME has been thought to be caused by feeding scrapie-infected
sheep to mink, this theory has no conclusive evidence. Experimental oral
inoculation of mink with several different sources of sheep scrapie has
never been successful, and an incubation period of less than 12 months
has never (sic) produced by intracerebral inoculation. Transmissible
mink encephalopathy can develop naturally by infection with incubation
periods of less than 12 months.
There is reason to believe that scrapie has not been transmitted in the
United States from sheep to cattle by rendered protein concentrates as
it was in Great Britain. However, some circumstantial evidence exists
that cattle may be a source of some TME infections. It is recommended
that we increase our surveillance for a BSE-like disease in American
cattle by encouraging state diagnostic laboratories to formalin-fix
specimens of midbrain and brain stem from bovine brains submitted for
rabies testing. If results of these tests are negative, these fixed
tissues can then be examined for evidence of spongiform degeneration of
the gray matter.

Letter to the Editor, Journal of the American Veterinary Medical
Association, August 15, 1990
In my article, "Bovine spongiform encephalopathy in the United States"
(JAVMA, May 15, 1990, p 1677), I stated that "little, if any, rendered
animal products are used for protein supplements in cattle feed in the
United States." I have since learned that this is incorrect, because of
the recent trend of using less assimilated "by-pass" proteins in cattle
feed. A large amount of meat-and-bone meal is being fed to American
cattle, and this change in feeding practice has greatly increased the
risk of bovine spongiform encephalopathy (BSE) developing in the United
States.
Epidemiologic studies on BSE in Great Britain have indicated that the
disease originated in cattle by exposure to the heat-resistant
transmissible agent in compounded feed containing rendered animal
protein. The most likely source of infection was assumed to be
meat-and-bone meal prepared from scrapie-infected sheep, but it is also
possible that a heretofore unrecognized scrapie-like infection of cattle
could have been spread in the same manner.
Because of concern for the possible development of BSE in the United
States, the American rendering industry discontinued the processing of
fallen and sick sheep last December. In my opinion, this was a prudent
policy, but one that will not prevent the possible transmission of BSE
from cattle to cattle. As emphasized in my article, there is some
evidence that BSE-like infection may already exist in American cattle.
The current practice of feeding meat-and-bone meal to cattle solidifies
the most important means to perpetuate and amplify the disease cycle.
In Great Britain, BSE has produced a great economic and emotional
burden. We must take all reasonable measures to prevent BSE from
developing in the United States. Therefore, the practice of using animal
protein in cattle feed should be discontinued as soon as possible.
Waiting until the first case of BSE is diagnosed in the United States
will certainly be "closing the barn door after the horse is gone." With
a disease having a 3- to 6-year incubation period, thousands of animals
would be exposed before we recognize the problem and, if that happens,
we would be in for a decade of turmoil.
R. F. Marsh, DVM, PhD
Madison, Wis

To be published in the Proceedings of the
Fourth International Scientific Congress in
Fur Animal Production. Toronto, Canada,
August 21-28, 1988

Evidence That Transmissible Mink Encephalopathy
Results from Feeding Infected Cattle

_ - R.F. Marsh* and G.R. Hartsough

"Department of Veterinary Science, University of Wisconsin-Madison,
Madison,
Wisconsin 53706; and ^Emba/Creat Lakes Ranch Service, Thiensville,
Wisconsin 53092

ABSTRACT
Epidemiologic investigation of a new incidence of
transmissible mink encephalopathy (TME) in Stetsonville, Wisconsin
suggests that the disease may have resulted from feeding infected
cattle to mink. This observation is supported by the transmission of
a TME-like disease to experimentally inoculated cattle, and by the
recent report of a new bovine spongiform encephalopathy in
England.

INTRODUCTION

Transmissible mink encephalopathy (TME) was first reported in 1965
by Hartsough and Burger who demonstrated that the disease was
transmissible with a long incubation period, and that affected mink
had a spongiform encephalopathy similar to that found in
scrapie-affecied
sheep (Hartsough and Burger, 1965; Burger and Hartsough, 1965).
Because of the similarity between TME and scrapie, and the subsequent
finding that the two transmissible agents were indistinguishable
(Marsh and Hanson, 1969), it was concluded that TME most likely
resulted
from feeding mink scrapie-infecied sheep.
The experimental transmission of sheep scrapie to mink (Hanson et al.,
1971) confirmed the close association of TME and scrapie, but at the
same time provided evidence that they may be different. Epidemiologic
studies on previous incidences of TME indicated that the incubation
periods
in field cases were between six months and one year in length
(Harxsough
and Burger, 1965). Experimentally, scrapie could not be transmitted
to mink
in less than one year.
To investigate the possibility that TME may be caused by a (particular
strain of scrapie which might be highly pathogenic for mink, 21
different
strains of the scrapie agent, including their sheep or goat sources,
were
inoculated into a total of 61 mink. Only one mink developed a
progressive
neurologic disease after an incubation period of 22 mon..s (Marsh
and Hanson,
1979). These results indicated that TME was either caused by a
strain of
sheep scrapie not yet tested, or was due to exposure to a scrapie-like
agent from an unidentified source.

OBSERVATIONS AND RESULTS

A New Incidence of TME. In April of 1985, a mink rancher in
Stetsonville,
Wisconsin reported that many of his mink were "acting funny", and
some had
died. At this time, we visited the farm and found that approximately
10% of
all adult mink were showing typical signs of TME: insidious onset
characterized
by subtle behavioral changes, loss of formal habits of cleanliness,
deposition
of droppings throughout the pen rather than in a single area,
hyperexcitability,
difficulty in chewing and swallowing, and tails arched over their
_backs like
squirrels. These signs were followed by progressive deterioration of
neurologic
function beginning with locomoior incoordination, long periods of
somnolence in which the affected mink would stand motionless with
its head
in the corner of the cage, complete debilitation, and death. Over
the next
8-10 weeks, approximately 40% of all the adult mink on the farm died
from
TME. Since previous incidences of TME were associated with common or
shared
feeding practices, we obtained a careful history of feed ingredients
used
over the past 12-18 months. The rancher was a "dead stock" feeder
using mostly
(>95%) downer or dead dairy cattle and a few horses. Sheep had never
been fed.

Experimental Transmission. The clinical diagnosis of TME was
confirmed by
histopaihologic examination and by experimental transmission to mink
after incubation periods of four months. To investigate the possible
involvement
of cattle in this disease cycle, two six-week old castrated Holstein
bull calves
were inoculated intracerebrally with a brain suspension from
affected mink.
Each developed a fatal spongiform encephalopathy after incubation
periods of
18 and 19 months.

DISCUSSION

These findings suggest that TME may result from feeding mink infected
cattle and we have alerted bovine practitioners that there may exist an
as yet unrecognized scrapie-like disease of cattle in the United States
(Marsh and Hartsough, 1986). A new bovine spongiform encephalopathy has
recently been reported in England (Wells et al., 1987), and
investigators
are presently studying its transmissibility and possible
relationship to
scrapie. Because this new bovine disease in England is characterized by
behavioral changes, hyperexcitability, and agressiveness, it is very
likely it would be confused with rabies in the United Stales and not be
diagnosed. Presently, brains from cattle in the United States which are
suspected of rabies infection are only tested with anti-rabies virus
antibody
and are not examined histopathologically for lesions of spongiform
encephalopathy. We are presently pursuing additional studies to further
examine the possible involvement of cattle in the epidemiology of TME.
One of these is the backpassage of our experimental bovine
encephalopathy
to mink. Because (here are as yet no agent-specific proteins or nucleic
acids identified for these transmissible neuropathogens, one means of
distinguishing them is by animal passage and selection of the biotype
which grows best in a particular host. This procedure has been used to
separate hamster-adapted and mink-udapted TME agents (Marsh and Hanson,
1979). The intracerebral backpassage of the experimental bovine agent
resulted in incubations of only four months indicating no de-adaptation
of the Stetsonville agent for mink after bovine passage. Mink fed
infected
bovine brain remain normal after six months. It will be essential to
demonstrate oral transmission from bovine to mink if this proposed
epidemiologic association is to be confirmed.

ACKNOWLEDGEMENTS
These studies were supported by the College of Agricultural and Life
Sciences, University of Wisconsin-Madison and by a grant
(85-CRCR-1-1812)
from the United States Department of Agriculture. The authors also wish
to acknowledge the help and encouragement of Robert Hanson who died
during
the course of these investigations.

REFERENCES
Burger, D. and Hartsough, G.R. 1965. Encephalopathy of mink. II.
Experimental and natural transmission. J. Infec. Dis. 115:393-399.
Hanson, R.P., Eckroade, R.3., Marsh, R.F., ZuRhein, C.M., Kanitz, C.L.
and Gustatson, D.P. 1971. Susceptibility of mink to sheep scrapie.
Science 172:859-861.
Hansough, G.R. and Burger, D. 1965. Encephalopathy of mink. I.
Epizoociologic and clinical observations. 3. Infec. Dis. 115:387-392.
Marsh, R.F. and Hanson, R.P. 1969. Physical and chemical properties
of the
transmissible mink encephalopathy agent. 3. ViroL 3:176-180.
Marsh, R.F. and Hanson, R.P. 1979. On the origin of transmissible mink
encephalopathy. In Hadlow, W.J. and Prusiner, S.P. (eds.) Slow
transmissible
diseases of the nervous system. Vol. 1, Academic Press, New York, pp
451-460.
Marsh, R.F. and Hartsough, G.R. 1986. Is there a scrapie-like disease in
cattle?
Proceedings of the Seventh Annual Western Conference for Food Animal
Veterinary Medicine. University of Arizona, pp 20.
Wells, G.A.H., Scott, A.C., Johnson, C.T., Cunning, R.F., Hancock, R.D.,
Jeffrey, M., Dawson, M. and Bradley, R. 1987. A novel progressive
spongiform
encephalopathy in cattle. Vet. Rec. 121:419-420.

http://www.bseinquiry.gov.uk/files/mb/m09/tab05.pdf

Is there a Scrapie-like disease in cattle in USA

http://www.bseinquiry.gov.uk/files/mb/m09a/tab01.pdf


SEWING THE SEEDS OF CWD THROUGH ANIMAL PROTEIN?

http://www.tx-outdoors.com/hunting_i...1/00000084.htm

re-vCJD/blood and meeting of Feb. 20, 2003

http://www.fda.gov/ohrms/dockets/ac/...3923s1_OPH.pdf

Subject: SCRAPIE 'USA' ANNUAL REPORT (105 __newly__ infected flocks
2002) & CWD IN USA Date: Tue, 10 Dec 2002 08:17:17 -0600 From: "Terry S.
Singeltary Sr." To: [email protected] Date: Mon, 9 Dec
2002 21:21:10 -0600 Reply-To: Bovine Spongiform Encephalopathy Sender:
Bovine Spongiform Encephalopathy From: "Terry S. Singeltary Sr."
Subject: SCRAPIE 'USA' ANNUAL REPORT (105 newly
infected flocks 2002) & CWD IN USA As of September 30, 2002, there were
45 scrapie infected and source flocks (figure 3). There were 105 newly
infected flocks, reported in FY2002 (figure 4). In addition, 379 scrapie
cases were confirmed and reported by the National Veterinary Services
Laboratories (NVSL) in FY 2002 (figure 5) and (figure 6). Five cases of
scrapie in goats were reported in FY 2002 (figure 7), the last of which
was confirmed in August 2002. New infected and source flocks numbers and
the number of these flocks released in FY 2002 are depicted in chart 4.
One hundred (100) flocks which is 67 percent of the scrapie infected and
source flocks present in FY 2002 were released or put on clean-up plans
in FY2002. Slaughter Surveillance Slaughter Surveillance is currently in
Phase II which is intended to determine the prevalence of scrapie in the
US culled sheep population. Through September 2002 samples from 3,269
sheep were submitted to NVSL for testing. Samples from a total of 6,795
sheep have been submitted since the beginning of Phase II on April 1,
2002. Surveillance regions are depicted in (figure 8). Scrapie Testing
During FY 2002 11,751 animals have been tested for scrapie which
includes: 2,711 regular necropsy cases, 1,343 third eyelid biopsies for
the test validation project, 546 third eyelid biopsies for the
regulatory program, and approximately 7,151 animals for Phase I & II of
SOSS (chart 5). Laboratory testing has been taking 10 - 11 days on
average with a range of 3 - 34 days. Ear Tag Orders During FY 2002 9.9
million plastic and 6.0 million metal tags were distributed by APHIS
(chart 6).
http://www.aphis.usda.gov/vs/nahps/s...al-report.html
NEW SCRAPIE INFECTED AND SOURCE FLOCKS
http://www.aphis.usda.gov/vs/nahps/s...t/figure04.gif
DISTRIBUTION OF CHRONIC WASTING DISEASE THROUGHOUT THE STATES (as of
Oct. 2002) http://www.aphis.usda.gov/vs/nahps/c...tribution.html
CWD USA surveillance
http://www.aphis.usda.gov/vs/nahps/cwd/cwd-state.html

Monitoring the occurrence of emerging forms of Creutzfeldt-Jakob disease
in the United States [FULL TEXT] Date: February 22, 2003 at 7:38 am PST
plus TSS rebuttal and submission to Neurology

http://www.vegsource.com/talk/madcow...s/9912538.html

or short version;

http://www.neurology.org/cgi/eletters/60/2/176#535

TSS

########### http://mailhost.rz.uni-karlsruhe.de/warc/bse-l.html
############

================================================== ===


USA 8/4/97 RUMINANT-TO-RUMINANT FEED BAN that never was...

'ANIMAL PROTEIN' SEARCH 9/9/02
==============================

Darling International, Inc.
5/07/02
Seattle District Office Animal Proteins Prohibited in Ruminant
Feed/Misbranded [PDF]
[HTML] All American Feed & Tractor
4/01/02
Seattle District Office Animal Proteins Prohibited in Ruminant
Feed/Adulterated [PDF]
[HTML] Tyson Foods
2/12/02
Seattle District Office Animal Proteins Prohibited in Ruminant
Feed/Misbranded [PDF]
[HTML] The Feed Bucket
12/11/01
Atlanta District Office Animal Proteins Prohibited in Ruminant
Feed/Adulterated/Misbranded [PDF]
[HTML] Finlayson Ag Center
11/08/01
Minneapolis District Office Animal Proteins Prohibited in Ruminant
Feed/Adulterated [PDF]
[HTML] Dixon Feeds, Inc.
10/24/01
Seattle District Office Animal Proteins Prohibited in Ruminant
Feed/Adulterated [PDF]
[HTML] Buckeye Feed Mills, Inc.
9/20/01
Cincinnati District Office Animal Proteins Prohibited in Ruminant
Feed/Adulterated/Misbranded [PDF]
[HTML] Wilcox Farms, Inc.
9/14/01
Seattle District Office Animal Proteins Prohibited in Ruminant Feed
[PDF]
[HTML]

http://www.accessdata.fda.gov/script...&Search=Search

now, compare search on 8/8/01...tss
===================================

'ANIMAL PROTEIN' SEARCH 8/8/01
==============================

Date: Tue, 28 Aug 2001 11:13:43 -0700
Reply-To: BSE-L
Sender: Bovine Spongiform Encephalopathy BSE-L
From: "Terry S. Singeltary Sr."
Subject: MAD COW FEED BAN WARNING LETTERS U.S.A. AUGUST 8, 2001

DEPARTMENT OF HEALTH AND HUMAN SERVICES

Food and Drug Administration

Seattle District Pacific Region 22201 23rd Drive SE Bothell, WA
98021-4421

Telephone: 426-486-8788 FAX: 426-483-4996

August 8, 2001

VIA CERTIFIED MAIL RETURN RECEIPT REQUESTED

In reply refer to Warning Letter SEA 01-75

William W. Himmelspach, Owner 22195 S.W. 78th Tualatin, Oregon 97062

WARNING LETTER

Dear Mr. Himmelspach:

An investigation at your animal feed manufacturing operation located at
22195 S.W. 78th Tualatin, Oregon 97062, conducted by a Food and Drug
Administration investigator on July 12, 2001, found significant
deviations from the requirements set forth in Title 21, Code of Federal
Regulations, Part 589.2000 - Animal Proteins Prohibited in Ruminant
Feed. The regulation is intended to prevent the establishment and
amplification of Bovine Spongiform Encephalopathy (BSE). Such deviations
cause products being manufactured at this facility to be adulterated
within the meaning of Section 402(a)(2)(C), and 402(a)(4) of the Federal
Food, Drug and Cosmetic Act (the Act).

Our investigation found a failure to separate the receipt, processing,
and storage of the product containing prohibited material from
non-prohibited material; failure to establish a written system,
including clean-out and flushing procedures, to avoid commingling and
cross-contamination of common equipment; and failure to maintain records
sufficient to track the materials throughout the receipt, processing,
and distribution of your products.

In addition, our investigation found a failure to label your products
with the required cautionary, statement "Do Not Feed to Cattle or Other
Ruminants," Your pig feeds, containing prohibited materials, were not
labeled with the cautionary statement, and you reuse poly-tote bags for
ruminant feed and pig feed, where the bags could become contaminated
with prohibited material. The FDA suggests the statement be
distinguished by different type size or color or other means of
highlighting the statement so that it is easily noticed by a purchaser.

The above is not intended to be an all-inclusive list of deviations from
the regulations. As a manufacturer of materials intended for animal feed
use, you are responsible for assuring that your overall operation and
the products you manufacture and distribute are in compliance with

William W. Himmelspach Tualatin, Oregon Re: Warning Letter SEA 01-75
Page 2

your overall operation and the products you manufacture and distribute
are in compliance with the law. We have enclosed a copy of the FDA's
Small Entity Compliance Guide to assist you with complying with the
regulation.

You should take prompt action to correct these violations, and you
should establish a system whereby such violations do not recur. Failure
to promptly correct these violations may result in regulatory action
without further notice, such as seizure and/or injunction.

You should notify this office in writing within 15 working days of
receipt of this letter, of the steps you have taken to bring your firm
into compliance with the law. Your response should include an
explanation of each step being taken to correct the violations, and
prevent their recurrence. If corrective action cannot be completed in 15
working days, state the reason for the delay and the date by which the
corrections will be completed. Include copies of any available
documentation demonstrating that corrections have been made.

Your reply should be directed to the Food and Drug Administration,
Attention: Bruce Williamson, Compliance Officer. If you have any
questions please contact Mr. Williamson at (425) 483-4976.

Sincerely,

Charles M. Breen District Director

Enclosure; Form FDA 483 Small Entity Compliance Guide

http://www.fda.gov/foi/warning_letters/g1619d.pdf

Warning Letters Index - Search Form Results Company Name Date Issued
Issuing Office

Subject

File Adrian Elevator, Inc. 5/03/01 Minneapolis District Office Animal
Proteins Prohibited in Ruminant Feed

View File Alaska Garden and Pet Supply, Inc. 4/27/01 Seattle District
Office Animal Proteins Prohibited in Ruminant Feed

View File Bryan Enterprises 2/20/01 Cincinnati District Office Feed
Mill/Animal Proteins Prohibited in Ruminant Feed/Adulterated

View File Carrollton Farmers Exchange 7/12/01 Cincinnati District Office
Animal Proteins Prohibited in Ruminant Feed

View File Centerburg Mill and General Store, Inc 3/23/01 Cincinnati
District Office Animal Proteins Prohibited in Ruminant Feed

View File Centerburg Mill and General Store, Inc. 5/23/01 Cincinnati
District Office Animal Proteins Prohibited in Ruminant Feed

View File Central Ohio Farmers Cooperative, Inc. 5/24/01 Cincinnati
District Office Animal Protein Prohibited in Ruminant Feed

View File Champaign Landmark, Inc. 3/05/01 Cincinnati District Office
Animal Proteins Prohibited in Ruminant Feed/Misbranded

View File Countryline Co-Op, Inc. 5/14/01 Cincinnati District Office
Animal Proteins Prohibited in Ruminant Feed

View File Dorset Milling 4/16/01 Cincinnati District Office Animal
Proteins Prohibited in Ruminant Feed

View File Earl B. Olson Feed Mill 4/23/01 Minneapolis District Office
Animal Proteins Prohibited in Ruminant Feed

View File Faler Feed Store, Inc. 3/21/01 Cincinnati District Office
Animal Proteins Prohibited in Ruminant Feed

View File Farmers Mill & Elevator Company 3/30/01 Atlanta District
Office Animal Proteins Prohibited in Ruminant Feed

View File Farnam Companies, Inc. 7/20/01 Kansas City District Office
Animal Proteins Prohibited in Ruminant Feed/Adulterated

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Animal Proteins Prohibited in Ruminant Feed

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Animal Proteins Prohibited in Ruminant Feed

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Office Animal Proteins Prohibited in Ruminant Feed

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Proteins Prohibited in Ruminant Feed

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Protein Prohibited in Ruminant Feed

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Animal Proteins Prohibited in Ruminant Feed

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Animal Proteins Prohibited in Ruminant Feed

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Animal Proteins Prohibited in Ruminant Feed

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MADCOW is offline  
Old 12-12-2003, 11:29 AM
  #28  
nub
 
Join Date: Feb 2003
Location: CWD Central, WI.
Posts: 2,062
Default RE: for those who bait

All six of the positive fawns were taken from the core area
of the CWD eradication zone where the highest numbers of positive deer
have been identified.
Welcome to my neighborhood. CWD101, better learn it now.
nub is offline  
Old 12-12-2003, 12:00 PM
  #29  
 
Join Date: Feb 2003
Location: arlington texas USA
Posts: 810
Default RE: for those who bait

it is only baiting if you hunt over the bait. supplemental feeding is a necessary tool during extreme cold and hot months.we go to grocery stores and get the old fruit and put it out for food.we also use corn. corn is way overrated but a lot is sure sold.we have corn and nutrition feeders all over our place but i am about 1/2 mile from nearest one.we keep hearing about cwd but we are not seeing it. i have seen only one case here in 40 years of hunting.
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Old 12-12-2003, 12:13 PM
  #30  
 
Join Date: Feb 2003
Location: Tomah Wi USA
Posts: 1,149
Default RE: for those who bait

Don't bait myself but the bait of choice around here is regular potatoes.

Almost forgot, CRANBERRYS are free and last all winter for a truck load!
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Quick Reply: for those who bait


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