This document is an excerpt from the EUR-Lex website
Document 52012SC0055
COMMISSION STAFF WORKING PAPER IMPACT ASSESSMENT
COMMISSION STAFF WORKING PAPER IMPACT ASSESSMENT
COMMISSION STAFF WORKING PAPER IMPACT ASSESSMENT
/* SEC/2011/0055 final */
COMMISSION STAFF WORKING PAPER IMPACT ASSESSMENT /* SEC/2011/0055 final */
TABLE OF CONTENTS 1........... Policy context................................................................................................................. 6 1.1........ Procedural issues and
consultation of interested parties.................................................... 6 1.2........ Consultation of stakeholders........................................................................................... 7 1.3........ Inter-Service steering group on
the impact assessment..................................................... 7 1.4........ Follow-up to the opinions of
Impact Assessment Board................................................... 8 2........... Policy principles, context, and
problem definition............................................................. 9 2.1........ Animal welfare: Definition and
guiding principles.............................................................. 9 2.2........ EU policy on animal welfare.......................................................................................... 10 2.2.1..... EU animal welfare 2006 Action Plan
and existing EU legislation..................................... 11 2.2.1..... Policy coherency.......................................................................................................... 12 2.2.2..... International dimension.................................................................................................. 12 2.2.3..... Sector concerned......................................................................................................... 13 2.3........ Problem definition......................................................................................................... 14 2.3.1..... Underlying problem...................................................................................................... 14 2.3.1..... Animal welfare evaluation.............................................................................................. 16 2.3.2..... Why animal welfare is compromised
in the EU............................................................... 17 2.4........ Baseline scenario.......................................................................................................... 23 2.4.1..... Baseline by specific areas.............................................................................................. 23 2.4.2..... Baseline deriving from common
drivers.......................................................................... 24 2.5........ Subsidiarity test............................................................................................................ 31 3........... Objectives.................................................................................................................... 32 3.1........ General objectives of the
strategy.................................................................................. 32 3.2........ Specific objectives........................................................................................................ 32 4........... Identifying the options................................................................................................... 32 4.1........ Option 1: Strengthening Member
States' compliance (EU level non-legislative tools)....... 33 4.2........ Option 2: Benchmarking voluntary
schemes (EU support to sector self-regulation).......... 34 4.3........ Option 3: Establishing a European
network of reference centres (Specific EU legislation) 34 4.4........ Option 4: Streamlining
requirements for competence and using animal welfare indicators (EU general
framework law).............................................................................................................................. 36 4.5........ Option 4+: Investigating the
possibility of extending the scope of Option 4 (EU Framework Law with increased
scope).......................................................................................................................... 36 5........... Impact analysis............................................................................................................. 37 5.1........ Methodology................................................................................................................ 37 5.2........ Impacts of Option 1-
Strengthening Member States' compliance.................................... 37 5.2.1..... Impacts on objective 1- improve
enforcement............................................................... 37 5.2.2..... Impacts on objective 2- provide
for open and fair competition....................................... 39 5.2.3..... Impacts on objective 3- improve
knowledge................................................................. 39 5.2.4..... Impacts on objective 4- to improve
coherence across animal species............................. 40 5.2.5..... Other possible impacts.................................................................................................. 40 5.2.6..... Opinions of stakeholders on Option
1........................................................................... 41 5.3........ Impacts of Option 2 –
Benchmarking voluntary schemes................................................ 41 5.3.1..... Impacts on objective 1-improve
enforcement................................................................ 41 5.3.1..... Impacts on objective 2- provide
for open and fair competition....................................... 42 5.3.2..... Impacts on objective 3- improve
knowledge................................................................. 43 5.3.3..... Impacts on objective 4- to improve
coherence across animal species............................. 44 5.3.4..... Other possible impacts.................................................................................................. 44 5.3.5..... Opinion of stakeholders on Option
2............................................................................. 45 5.4........ Impacts of Option 3: Establishing
of a European network of reference centres................ 46 5.4.1..... Impacts on objective 1-improve
enforcement................................................................ 46 5.4.1..... Impacts on objective 2- provide
for open and fair competition....................................... 47 5.4.2..... Impacts on objective 3- improve
knowledge................................................................. 47 5.4.3..... Impacts on objective 4- to improve
coherence across animal species............................. 48 5.4.4..... Other possible impacts.................................................................................................. 49 5.4.5..... Opinion of stakeholders................................................................................................ 49 5.5........ Impacts of Option 4: Streamlining
requirements for competence and using animal welfare indicators 50 5.5.1..... Impacts on objective 1-improve
enforcement................................................................ 50 5.5.2..... Impacts on objective 2- provide
for open and fair competition....................................... 50 5.5.3..... Impacts on objective 3- improve
knowledge................................................................. 52 5.5.4..... Impacts on objective 4- to improve
coherence across animal species............................. 52 5.5.5..... Other possible impacts.................................................................................................. 52 5.5.6..... Opinion of stakeholders................................................................................................ 53 5.6........ Option 4+: Investigating the
possibility of extending of the scope of Option 4.................. 54 6........... Comparing the options.................................................................................................. 54 Comparing the options in terms of
effectiveness........................................................................... 57 6.1........ Comparing the options in terms of
efficiency.................................................................. 58 6.2........ Comparing the options in terms of
coherence................................................................. 59 6.3........ Preferred option........................................................................................................... 59 7........... Monitoring and evaluation............................................................................................. 60 Annex 1- Glossary of technical terms and
abbreviations............................................................... 62 Annex 2- EU key policy principles.............................................................................................. 66 2A - Definition of animal welfare and guiding
principles................................................................ 66 2B - Current EU legislation on animal welfare.............................................................................. 68 2C - List of the recommendations of the
European convention on the protection of animals kept for farming purposes 70 2 D - Five areas of actions of the Community
Action Plan on the Protection and Welfare of Animals 2006-2010
(COM(2006)13final).................................................................................................................. 71 2E – The European Parliament resolution on
evaluation and assessment of the Animal Welfare Action Plan 2006-2010 72 2F – Scope and questions of the evaluation................................................................................. 73 2G – Key messages of the evaluation.......................................................................................... 75 2 H – Summary of the discussion of the
Commission report on Animal welfare labelling at the European Parliament, the
Council and other EU institutions................................................................................................. 77 2I – Council conclusions on the welfare of
dogs and cats............................................................. 78 2J – List of scientific opinions on the
welfare of animals................................................................ 80 2K – List of international standards and of
EU international bilateral initiatives where animal welfare is included 85 Annex 3 – Consultation of stakeholders and
Member States........................................................ 87 3A – Stakeholders contributions.................................................................................................. 87 3B. Member States' contributions on the
policy options............................................................... 93 Annex 4 – Baseline..................................................................................................................... 94 4A - Legal provisions, animal welfare
impacts, problem drivers and no change scenario................ 94 4B – Level of EU resources dedicated to
animal welfare at EU level (baseline)........................... 101 Annex 5 – Impact assessment................................................................................................... 103 5A - Indicators for the specific objectives.................................................................................. 103 5B – Option 1: Strengthening Member States'
compliance......................................................... 105 5C - Option 2: Benchmarking voluntary schemes....................................................................... 107 5D - Option 2: Why not an EU compulsory
system for animal welfare labelling?......................... 109 5E - Option 3: Establishing a European
network of reference centres......................................... 110 5F - Option 4: Streamlining requirements for
competence and using animal welfare indicators..... 114 5G – List of impacts considered................................................................................................ 117 Annex 6 – Evidence.................................................................................................................. 121 6A -Data submitted by Member States on
inspection activities in 2008 pursuant to Commission Decision 2006/778/EC 121 6B – Examples of Corporate Social
Responsibility including animal welfare................................ 125
1.
Policy context
1.1.
Procedural issues and consultation of
interested parties[1]
Over the past 30 years the European Union has
adopted a series of laws on protecting animals (Annex 2B). Most of this
legislation concerns food-producing animals (farm animals) and animals used for
experimental purposes. Animal welfare is not in itself an objective of the EU
Treaties, and the first motive for legislating in this area was to prevent
distortion of competition between activities involving animal use[2]. In 2006, the Commission adopted a Community
Action Plan on the Protection and Welfare of Animals 2006-2010 (the "2006
Action Plan")[3],
setting out strategic guidelines and describing future action[4]. The 2006 Action Plan was the
first document to bring together in a single text the various aspects of EU
policy on animal welfare. It is the "First Animal welfare Strategy"
to which this initiative aims to provide the follow-up for the next five years
period. On 5 May 2010, the European Parliament adopted
a resolution[5]
expressing its opinion on the results of the 2006 Action Plan and on the
prospects for a new strategy on animal welfare[6].
This impact assessment will consider, in particular, options suggested by the
European Parliament. In December 2009, the Commission asked external
experts to evaluate the EU’s policy on animal welfare. The detailed terms of
reference of this evaluation ("the evaluation") have been published
on a website[7].
The evaluation investigates eleven questions (see Annex 2F). One of its
objectives was to indicate possible directions for the future of EU animal
welfare policy. Much of the material collected during the evaluation has been
used for the purposes of this impact assessment. Concerning the welfare in farmed fish a more
specific evaluation is foreseen according to the EU Aquaculture Strategy[8].
Past experience indicated that general welfare provisions which were made for
terrestrial animals are inadequate for fish. Moreover, problems and
difficulties may be different than those presented in this document as well as
the approach to solve them. Key conclusions of the evaluation are set out
in Annex 2G.
1.2.
Consultation of stakeholders
During the evaluation, the experts consulted a
wide range of stakeholders, including animal welfare organisations, scientists
working on animal welfare, and businesses and industries that use animals
(farmers except fish farmers, slaughterhouses, pharmaceutical industries,
cosmetic industries, the food processing industry, the feed industry,
organisations of pet breeders, pet shops, veterinarians, etc.). The evaluation also included an
eight-weeks-long public web consultation aimed at gathering the views of
citizens and organisations that had not been consulted face-to-face or via
telephone interviews[9]. Stakeholders were also consulted on the future
of the EU policy at a specific meeting held to discuss the outcomes of the
evaluation and the policy options set out below[10]. They were also consulted
within the framework of regular consultative committees such as the Animal
Health Advisory Committee[11]
and specific agricultural committees. The stakeholders’ contributions have been
published[12]
on the Commission’s website. Member States were consulted during the
evaluation, and the evaluator collected a large amount of information in twelve
Member States that represent at least 90 % of the farmed and experimental
animals in the EU. The competent authorities of these Member States were
consulted via specific face-to-face interviews and a detailed written
questionnaire. The results of the evaluation and the policy
options were presented to the Member States in a specific working group on 17
January 2011. In addition, the Commission presented the options for the
strategy to the Council Working Party of Chief Veterinary Officers[13]. The evaluation report was
presented to the farm ministers at the Agricultural Council meeting on 17 March
2011. A report on stakeholders meeting as well as
stakeholders and Member States contribution are given in Annex 3.
1.3.
Inter-Service steering group on the impact
assessment
Commission inter-service steering groups took
place as early as December 2008 to prepare the various stages of the evaluation
(terms of reference, kick-off meeting, inception report, progress report, final
report) and to draw up the strategy[14].
The following directorates-general as well as EFSA[15] actively contributed to the
steering group: DG AGRI, DG ENV, DG TRADE, DG MARE, DG RTD, SG and LS. DG MARKT
and ENTR provided occasional contributions.
1.4.
Follow-up to the opinions of Impact Assessment
Board
The impact assessment has been amended to reply
to the comments of the Impact Assessment Board as follows: 1. Better define the problem and problem
drivers and develop a full baseline scenario: The problem definition section has been fully
revised to start from a detailed description of the welfare problems
encountered in the EU by species. For each case, there is an identification of
the main underlying drivers. In addition the problem definition has been
further expanded as to provide more concrete examples of the underlying
specific problems encountered and their scale. In particular this part details
the problem related to lack of dissemination and coordination of research that
justifies Option 3. From those examples, the present document identifies
several common drivers. The section also describes the current instruments of
the EU policy on animal welfare and the expected results, by species as well as
on the common drivers. A baseline scenario has also been further developed as
to illustrate through specific examples the success and the limitations of the
current policy on animal welfare. 2. Better demonstrate the need for, and EU
value added of, a horizontal animal welfare strategy. The problem definition has also been revised
for the part concerning the EU added value (subsidiarity test). It explains why
the EU has taken initiatives for protecting animals and why it is important
that the EU continue to have a strategy in this field. It also presents the
reasons for a horizontal approach compared to a sector-specific approach. This
section identifies, when the data is available, the respective role of the
Member States and the EU on animal welfare. It in particular shows how the
strategy can provide outcomes that Member States are not likely to deliver
individually. It also specifies the possible legal base for future initiative. 3. Present a clear intervention logic by better
explaining the choice and content of options. The present version of the impact assessment
contains a new list of specific objectives which correspond to the main drivers
identified. The number of options have been expanded and redesigned to
correspond to the specific objectives. The intervention logic should therefore
appear clearer to the reader than the previous version. The definition of the
options has also been revised to make it clear what the implications are for
the existing range of legislative measures. In the presentation of the options,
explanations have been provided on the reason to exclude a non EU action Option
as well as to not consider a sector-based approach (vs. a holistic approach
defended here). The scope and the aim of Option 4+ are further explained. 4. Improve the
assessment of impacts The impact
analysis has also been redrafted to take into account the previous changes.
However, the methodology for assessing the impacts remains similar to the previous
version, assessing first the impacts on the objectives and then on possible
other impacts. A new section has been added to present the opinion of the
stakeholders for each option. Indicators for Option 4 are proposed in Annex
5A. A summary of table of the costs and benefits of each option has been added.
The report also indicates that any subsequent legislative proposals arising
from this initiative will be supported by a separate impact assessment. Furthermore, a glossary has been added in Annex
1.
2.
Policy principles, context, and problem
definition
2.1.
Animal welfare: Definition and guiding
principles
The term "animal welfare" is defined
by the World Organisation for Animal Health (OIE)[16]. The EU played a central part
in the work leading to the OIE definition, which has now been recognised by
more than 170 countries. "Animal welfare means how an animal is
coping with the conditions in which it lives. An animal is in a good state of
welfare if (as indicated by scientific evidence) it is healthy, comfortable,
well nourished, safe, able to express innate behaviour, and if it is not
suffering from unpleasant states such as pain, fear and distress."[17] Guiding principles have been developed through
the OIE, in which there are references, in particular, to the internationally
recognised concepts of the "Five Freedoms" and the "3Rs",
and to the overarching principle that animal welfare initiatives shall be based
on scientific evidence. The concept of five freedoms was developed as
to define the essential elements of ensuring proper welfare to the animals as
follows: 1. Freedom from hunger, thirst and
malnutrition, 2. Freedom from fear and distress, 3. Freedom from physical and thermal
discomfort, 4. Freedom from pain, injury and disease, 5. Freedom to express normal patterns of
behaviour. The "three Rs" concept has been
developed for animals used for experimental purposes aiming at the Replacement
of animals with non-animals techniques, Reduction in number of animals
used and Refinement of experimental methods.. Notably, the OIE guiding principles recognise
that "the use of animals (…) makes a major contribution to the
wellbeing of people" and that "the use of animals carries with
it an ethical responsibility to ensure the welfare of such animals to the
greatest extent practicable".
2.2.
EU policy on animal welfare
The aims, principles and scope of the EU animal
welfare policy derive from Article 13 of the Treaty of
the Functioning of the European Union (the Treaty)
which states that: "In formulating and implementing the Union's
agriculture, fisheries, transport, internal market, research and technological
development and space policies, the Union and the Member States shall, since
animals are sentient beings, pay full regard to the welfare requirements of
animals, while respecting the legislative or administrative provisions and
customs of the Member States relating in particular to religious rites,
cultural traditions and regional heritage." Article 13 does not provide a specific legal
basis for protecting animals in the EU. However, it recognises animals as
sentient beings; hence all animals scientifically known to be able to feel pain
are included in the scope of EU animal welfare policy imposing an obligation to
ensure that their welfare needs are considered within the framework of EU
policies. Nevertheless, currently, the EU policy on
animal welfare is restricted to a few specific EU policies, limiting the scope
to animals: - under direct human control (mainly domestic
animals but also wild animals in captivity); - used in the context of an economic activity
having an effect at EU level (like farming, pharmaceuticals, cosmetics, etc.). Thus, the following animals and activities are
not included in the scope of EU animal welfare policy: –
Wild animals in the wild (but not wild animals
in zoos) –
Fishing for commercial purposes (capture
fisheries) –
Hunting or fishing for recreational purposes
(private activity) –
The keeping of animals as private companion
(private activity) including stray animals.
2.2.1.
EU animal welfare 2006 Action Plan and existing
EU legislation
The 2006 Action plan proposed five strategic
actions: (1)
Upgrading existing minimum standards in line
with scientific evidence and socio-economic assessments; (2)
Giving a high priority to promoting
policy-orientated future research on animal protection and welfare; (3)
Introducing standardised animal welfare
indicators: to classify the hierarchy of welfare standards applied (from
minimum to higher standards) in order to assist the development of improved
animal welfare production; (4)
Ensuring that animal keepers/ handlers as well
as the general public are more involved and informed on current standards of
animal protection and welfare; (5)
Continue to support and initiate further
international initiatives to raise awareness and create a greater consensus on
animal welfare. The legal framework is based on Directive
98/58/EC[18]
which applies to all farmed animals, providing them with protection through
general principles[19].
In addition there are four specific directives on the keeping of certain species
(calves, pigs, laying hens and broilers covering in total 48 % of the EU
farmed mammals and 80 % of the birds). Furthermore, there is a directive on the
protection of animals at the time of killing[20], and a
regulation on animal transport[21]
in the context of an economic activity. There is also a directive covering the welfare
of animals used for experimental and scientific purposes[22], a
directive on zoos[23]
(the main purpose of the directive is conservation of wild species but contains
animal welfare requirements), a regulation on trade in seal products[24] and a regulation on the use of
leg hold traps[25].
As regards pets, there is a regulation banning
the trade of cat and dog fur[26],
but there is no legislation that directly concerns the welfare of living dogs and
cats.
2.2.1.
Policy coherency
The current EU policy on animal welfare links
to other EU policies including the following: Communication activities through events such as conferences, and a dedicated EU website
("Farmland"[27])
are intended to inform citizens and consumers of animal welfare issues and of
the EU's role in improving the welfare of animals. Training activities are performed within the EU framework of "Better Training for
Safer Food"[28].
They ensure that officials responsible for controls of animal welfare
legislation in the Member States and officials from third countries understand
and are able to disseminate information about the legislation. Within the framework of the CAP, the European
Agricultural Fund for Rural Development (EAFRD) offers to Member States
possibilities to co-finance animal welfare measures within their rural
development programmes. According to the evaluation, an average of 50 million
euros is distributed through this fund every year to compensate farmers for
implementing higher animal welfare standards[29].
This mechanism constitutes the most important source of financial funding for
animal welfare activities in the EU (72% of the overall EU spending on animal
welfare). The CAP funding from the single payment scheme[30] depends on the compliance by
farmers of certain statutory management requirements including, from 2007, some
on animal welfare. With an average of 15 million euro per year, EU
funding for research through FP6 and FP7 is important to develop knowledge
as a basis for future policy measures (e.g. alternative testing to reduce the
number of animals used in experiments).
2.2.2.
International dimension
International activities aim at ensuring a
level playing field between operators in the EU and in third countries and at
contributing to higher animal welfare standards throughout the world (see Annex
2K on the list of international standards and EU bilateral initiatives). A first approach has been to promote the
adoption of internationally recognised animal welfare standards. The EU has
been successful in supporting the World Organisation for Animal Health (OIE)
with the adoption of a series of guidelines on animal welfare for farmed
(transport and killing) and experimental animals[31]. Another approach has been to work on a
bilateral basis with certain third countries through specific trade agreements
or cooperation forums. Today there are several ongoing bilateral cooperation
activities which contribute to establishing equivalent animal welfare standards
in third countries to those in the EU.
2.2.3.
Sector concerned
Live animals are used for economic purposes by
various industries and businesses. In terms of numbers of animals, the
farming sector is the largest user, with at least 2 billion birds
(chickens, laying hens, turkeys[32],
etc.) and 334 million mammals (pigs, sheep, goats, cattle, fur animals[33]). The EU produces around 630 000
tonnes of farmed fish every year[34].
Pets are the second largest category of animals in Europe, with around 120
million dogs and cats and possibly 35 million birds. There is no data on the
actual proportion used for economic purposes, but some 10 % of the dog
population is sold each year[35].
An estimated 12 million animals per year (mainly rodents) are used for
experimentation in the pharmaceutical and chemical industries, and by other
public and private research bodies. No data is available regarding zoos, but it
is estimated that they house around 800 000 wild animals. No reliable data
could be obtained for circuses or other activities such as animals used in
sports, shows, etc. In economic terms[36], livestock
farming in the EU is worth € 149 billion[37]
every year. Of this, pigs and poultry (subject to specific EU provisions)
represent 38 % (i.e. € 57.6 billion). Animal output value represents
41 % of the overall agricultural output (€ 363 billion in 2008).
Farmed fish in the EU are worth € 2 billion[38]. There is no EU data on the
value of trade in dogs and cats, but data collected in France[39] suggests that sales of dogs
alone could be worth around € 3 billion[40]. In terms of employment, it is estimated
that some 4 million people, most of them farmers, handle animals in the course
of their business activity[41]
while 16.4 million people work regularly on 7.3 million agricultural holdings
(9 million Annual Work Units in 2007[42]).
Work related to animals should include around 3.7 million people. In addition to the farming sector, there are
around 200.000 people working with animals in slaughterhouses[43].
Aquaculture activities provide around 65.000 jobs in coastal and rural areas.
The number of persons handling experimental animals or animals in zoos is
unknown[44].
2.3.
Problem definition
2.3.1.
Underlying problem
Animal welfare is still at risk across EU
Member States. The evidence for this persisting underlying problem stems from
the findings of the Commission services (Food and Veterinary Office[45] of the Directorate General for
Health and Consumers) as well as scientific opinions of the European Food
Safety Authority[46].
The Commission also received data from the Member States[47] as well as from animal welfare
organisations[48]. Main areas at risk are: Housing and management of farmed animals Piglets (young pigs) from one week of age often
have their tails cut off (tail docking) without anaesthesia and their teeth clipped. Most EU producers do
this as a routine practice. Pigs tend to bite at each other's tails when they
are placed within a limited space and if they do not have the possibility to
dig in the ground with their snouts (rooting). Tail docking and lack of
manipulable materials are widespread in the EU and are both non compliances to
the EU legislation. In addition, 80% of male piglets are in the EU castrated
without anaesthesia. Female pigs (sows) used for breeding will often be kept
for almost all their life in individual stalls where they do not have the
freedom to move. Because of lack of exercise, old breeding sows will have
difficulties to move in the trucks that transport them to slaughter. They will
be sometimes dragged before slaughtered. During their one year of productive life,
laying hens are often kept in cages that are too small to allow them space to
behave normally (battery cages). Scientists have found that, as a normal
behaviour, hens need a nest for laying eggs, a perch to rest and they also need
to scratch the ground. Even though these basic needs can not be fulfilled in
small cages, these cages are in widespread[49]
use in the EU. In addition the lack of space and a bare environment often leads
hens to peck at each other and possibly cannibalism. For this reason, parts of
the beak are routinely removed without anaesthesia (beak trimming). This has
been documented to be painful for the hens both during and after the trimming. Chickens bred for the production of meat
(broilers) present lameness because of excessive development of their muscles
and lack of space to move at the end of the fattening period. Genetic selection
has been developed to increase growth rate (an industrial chicken can be
slaughtered at 40 days against 85 days for traditional breeds). They are
submitted to constant feed restriction to avoid becoming excessively
overweight. Parent flocks (i.e. animals used for genetic selection and
multiplication to obtain fattening animals) are constantly restricted in feed
to prevent reproductive problems. These animals therefore suffer from constant
hunger. Transport Most production cycles involve more than one
production site. Therefore the majority of animals will be transported at one
time or another. While most of this transport takes place within national
boundaries, there is also important trade between Member States. These journeys
often last for several days. Animals have little space to move. When drivers
stop to rest and sleep, animals will often stay in the truck without the
ability to rest. Animals that do not know each other are placed together and this
can result in conflicts. Access to water is limited, due to lack of space. Feed
is rarely provided to animals during transport. Furthermore, the trucks seldom
have straw or other bedding to absorb faeces and urine. Transport of animals
is taking place on a large scale, sometimes over large distances. Young pigs
from the Netherlands and Denmark are routinely traded to Germany and Spain,
cattle and calves from Ireland to Spain and Italy, sheep from Spain to Greece
and horses from Romania and Poland to Italy. Trade of cattle transported
between Member States and with third countries in 2009
has been estimated at 4 million
heads. The equivalent number for pigs has been
estimated at nearly 28 million heads. Slaughter and killing Killing animals is necessary in order to obtain
meat. It can be performed in ways that limit suffering of animals, in
particular by making them unconscious prior to slaughter. According to EU
legislation, animals shall be stunned before they are slaughtered[50]. However, there is a possibility
to derogate from this requirement where animals are subjected to methods of
slaughter required by certain religious rites. The Commission has received
evidence that certain slaughterhouse operators excessively use the derogation
from stunning to streamline their production process. Keeping of other animals Many dairy cows also suffer during their
productive lives. Many are kept in areas with cement flooring which may often
lead to lameness. Intensification of milk production has led to regular mastitis
and metabolic problems for the animals which also involves pain. To avoid
competition for feed, cows are commonly dehorned with different techniques,
some of which are very painful, in particular as no anaesthesia or analgesics
are used. Scientists have recognised fish as sentient
beings. Killing processes for certain species of farmed fish are pointed out to
be particularly inhumane. Killing farmed fish by taking them out of the water
takes a long time before fish die and it is frightening and painful to the
fish. The situation of wild animals kept in captivity varies between Member
States, they are many examples where wild animals are kept within very limited
space and a bare environment far from their natural conditions. Sanitary
conditions are also often questionable (source: NGO reports [51]). The Commission receive evidence of bad
treatments where dog breeders use females, producing puppies without proper
welfare and hygienic conditions. These puppies are then separated from their
mothers at a very early stage (less than two months of age) to attract buyers
and exported to be sold via the internet or specific traders. Puppies raised
under such conditions often develop serious behavioural and sanitary problems.
2.3.1.
Animal welfare evaluation
An evaluation of the EU policy on animal
welfare was performed in 2010 involving a wide consultation of stakeholders and
Member States. In addition to an online consultation of stakeholders with more
than 9000 responses, the evaluator contacted stakeholders and decision makers
at EU and national level. Twelve Member States were visited and interviews were
carried out with governments and key stakeholders. Key conclusions of the evaluation are set out
in Annex 2G and the following points can be highlighted: ·
More enforcement is needed to improve the
welfare of animals and reduce distortion of competition in certain areas. There
are widespread calls for more consistent enforcement but less appetite for a
new wave of standards. ·
EU welfare standards have imposed additional
costs on the livestock and experimental sectors, estimated at around 2% of the
overall value of these sectors. There is no evidence that this has so far
threatened their economic sustainability. ·
The Commission has been working in the long term
to establish equivalent market conditions between EU businesses and those from
third countries. However there is much yet to done to raise awareness and
create a shared international understanding of animal welfare issues and
standards with our trading partners. ·
The extent to which EU communication actions
have raised stakeholder and public awareness and responsibility towards animal
welfare is unclear. To maximise the impact of the limited resources available,
a clear communication strategy and stronger monitoring and evaluation are
needed.
2.3.2.
Why animal welfare is compromised in the EU
There are a number of reasons behind the
various animal welfare problems in the EU. Housing and management of farmed animals Regarding pigs, the EU legislation[52] bans certain bad practices. There
is, e.g., a requirement to provide pigs with access to material that will
enable them to root ("manipulable materials", such as straw). Sow
stalls will also be banned to all holdings in 2013. However, in spite of this legislation, animal
welfare problems remain widespread. A main reason for this is that Member
States often do not take appropriate measures to enforce the legislation. Many
Member States also do not provide adequate resources for research,
communication and training activities, which would often be necessary to inform
farmers on the rules. (Main driver: lack of enforcement) The design of pig housing systems is also an
important problem driver. Most pigs are raised on fully slatted floors that are
designed to facilitate the handling of manure and are not easily compatible
with straw or other rooting materials. Sow stalls were originally designed to
save space and avoid competition between sows. Those housing systems were
conceived at a time when animal welfare was not yet an intrinsic part of the
considerations related to animal husbandry and animals' needs were largely
ignored. Even though consumers later have become interested in animal welfare
and scientists now know more about the issue, the market place still does not
encourage producers to change their housing systems, as this would imply new
investments and sometimes additional production costs. Another reason for this
could be that there is little information to consumers on how pigs are treated
during production processes. Many farmers also lack information about
alternative systems and often do not see any advantage in changing their
processes into more animal friendly housing systems. (Main driver: lack of
knowledge) Pig castration is permitted in the EU and
widely used by farmers. When male pigs reach a weight above 70-80 kg (the
slaughter weight is usually around 100 kg) their meat will start to acquire a
distinct odour and taste ("board taint"). Most consumers do not like
the board taint. Consequently, producers have interest in maintaining the
practice of castration. However, there are alternatives that could reduce the
number of animals being castrated (lower slaughter weight, better detection
method of the board taint, breeding and feeding techniques). Thus, lack of
proper research and dissemination of results of research can largely explain
why the practice of male piglet castration is still widespread. (Main driver:
Lack of knowledge) As concerns laying hens, the EU legislation[53] banning the use of battery
cages will enter into force on 1 January 2012. For this ban lack of enforcement
has already become a major issue. An important problem is that, as in the
example concerning pigs, the use of modern, more animal welfare friendly
systems of production often conflicts with economic pressure on operators to
reduce costs. The change from battery cages to other cages involves investment
costs that many producers are reluctant to make, even though the EU legislation
provided for a transitional period of more than 12 years. (Main driver: Lack of
enforcement) Beak trimming is allowed in the EU if it is
performed on chicks younger than 10 days-old. However, beak trimming is as
painful for young chicken as for older ones. The entry into force of the ban on
battery cages could theoretically make it possible to stop the practice of beak
trimming. This is because beak trimming would not be necessary if battery cages
are not used (hens that get more space will be less likely to peck at each
other). However, since the practice is still permitted, it is unlikely that it
will end if there is no programme to inform and educate farmers of alternative
practices. (Main driver: Lack of knowledge) Animal welfare problems related to broilers
(chickens for meat) are essentially related to economic pressure in reducing
production costs. Genetic selection has been developed as to reach as quickly
as possible a slaughter weight and increase the feed conversion ratio. Animals
are confined in limited space as to limit costs. The EU legislation will
provide certain limits in space allowances. (Main driver: lack of economic
incentives). Transport There is legislation protecting animals during
transport[54].
However, Member States do not take sufficient measures to enforce the EU
legislation and there is an economic pressure on operators not to comply with
the rules. Requirements on space allowances are not respected in order to
increase the number of animals in trucks, so that costs is reduced. Drivers
often do not stop for watering, feeding and resting animals in order to save
time and money. There are few economic incentives to comply with the Regulation
as there are few official controls and a very low likelihood of being fined for
infringements. Also, economic losses due to immediate or later mortality after
transport are usually not borne by the transporter or are covered by
insurances. Further, animals sometimes have limited individual economic value,
especially animals at the end of their productive lives. (Main drivers: Lack of
enforcement/Lack of economic incentives). There are also some gaps in the current EU
legislation. For example, there are no rules on space allowance for pigs. Some
parts of the EU legislation are not in line with up to date scientific
knowledge (in particular on space and travelling times[55]). Furthermore, fish as vertebrates are
under the scope of the Regulation but the provisions of the Regulation have
been designed for the transport of terrestrial animals and do not in all cases
fit well for the transport of fish. At many occasions the aquaculture sector
has complained on the uncertainties encountered in the implementation of the
Regulation. It is therefore necessary to address this
problem which has already been identified under the Aquaculture Strategy. Slaughter and killing The excessive use of the derogation from
stunning animals before slaughter[56]
is also mainly driven by economic interests. Even if some EU consumers want
meat from animals slaughtered without stunning for legitimate reasons related
to the respect of the freedom of religion, some Member States have granted
derogation going beyond the scope of the derogation for ritual slaughtering.
Hence, some slaughterhouse operators have extended the practice of not stunning
animals in order to simplify their production process and to avoid possible
shortage of meat from unstunned animals. This means that Member States not
taking appropriate measures to enforce the legislation is also an important
driver for this problem, even though it is initially created by the economic
interests of certain slaughterhouse operators. (Main drivers: Lack of
enforcement/Lack of economic incentives). Keeping of other animals There is a directive[57] which applies to all farmed
animals, providing them with legal protection through general principles. This
directive should address animal welfare problems of dairy cows and farmed fish.
However, the evaluation has clearly indicated that these animals are not
adequately covered by this legislation. This is partly because the requirements
are too general[58].
Another explanation is that, as shown in previous examples, production systems
focus on costs reduction and high productivity rather than on animal welfare.
The absence of knowledge for farmers on animal welfare issues, lack of research
and dissemination of research in certain species (like farmed fish) also
contribute to animal welfare problems. (Main drivers: Lack of specific
guidance/Lack of economic incentives) The EU directive[59] on zoos aims at protecting
wild fauna and biodiversity. It contains some animal welfare elements but no
detailed requirements. Many Member States seem not to make much effort to
provide guidance to operators. In addition, official inspectors often have
little experience and training on the specific needs of wild animals in
captivity. Usually, zoo personnel do not seem to have a sound knowledge of
keeping such animals. The absence of EU research in defining the particular
animal welfare needs of wild animals in captivity has also been pointed out as
problematic by the evaluation. (Main driver: Lack of specific guidance/Lack of
knowledge). As regards the welfare of dogs and cats, there
is no EU legislation. Requirements in the different Member States vary a lot
and the level of enforcement is usually limited. Breeders from Member States
with little legislation on the welfare of dogs sell puppies at a low price to
traders in other Member States with stricter rules. With almost no border
controls, those breeders have a market advantage especially as most final
buyers of dogs have limited knowledge in dogs. (Main driver: Lack of specific
rules/Lack of economic incentives). Towards common drivers During the consultation process, there was
broad agreement on the problem definition as presented by the Commission[60]. Farmers’ organisations
insisted on including the costs and the risks of importing animals from outside
the EU. Animal welfare organisations stressed the need to widen the scope
of EU policy and to give the public and stakeholders more education and
information on animal welfare issues. NGOs also highlighted the Common
Agriculture Policy (CAP) reform and the need to develop animal welfare in this
context. All parties supported the need for better enforcement and further
scientific research. In particular, the aquaculture sector stressed the need
for more research an investigation in order to clarify each fish species needs
based on scientific results. 1. Lack of enforcement Driver: the EU
legislation is not coherently implemented across Member states; Problem: Member
States non-enforcement of EU legislation undermines the effectiveness of EU
policy on animal welfare; Examples: There
is evidence (directive on pigs, on animal transport, implementation of the ban
on battery cages, directive on zoos) that some Member States do not take
sufficient measures to inform stakeholders, train official inspectors, perform
checks, and apply sanctions in relation to the EU animal welfare legislation. For this reason, important parts of EU
legislation have not had the intended effects on the welfare of animals[61]. Difficulties in compliance is
sometimes related to a very prescriptive approach of the EU legislation making
requirements difficult to apply in all circumstances even if the welfare of
animals is not necessarily compromised. Source: Reports
from the Food and Veterinary Office (Commission services), the evaluation
report. 2. Consumers' lack of appropriate information
on animal welfare Driver: There is
no EU wide system for consumers to be properly informed on the relevance of
animal welfare attributes of products. Problem: EU-wide Eurobarometer survey shows that animal
welfare is a worry for 64 % of the population. On the other hand,
animal-welfare-friendly products usually have a low share of the market[62]. There is a clear gap between
consumer views and market shares in this regard[63]. This gap may be interpreted
in different ways that are not necessarily exclusive[64]. Studies show that concern for
animal welfare is only one of the factors affecting the consumer’s choice of a
product. They may rely on authorities or particular brand names, assuming that
high animal welfare standards are part of the product’s attributes[65]. Low availability of products,
higher prices and limited information on specific attributes may also explain
the gap[66]. Except in the case of eggs (obligatory[67]),
organic products (voluntary regulation not specifically aimed at animal welfare
issues but with animal welfare attributes[68]))
and poultry meat (voluntary production method labelling), there are no specific
EU rules on how to inform the consumer about animal welfare. Moreover, there
are few voluntary certification schemes focusing on animal welfare[69] [70] and their market
share is relatively limited in most EU Member States. The Commission adopted a
communication on animal welfare labelling in 2009 but debates in the Council
did not point out a single direction for future EU policy, most Member States
being opposed to establishing a new compulsory labelling system as it exists
for eggs(see Annex 2H). Source: the
evaluation report. 3. Low level of knowledge of
stakeholders/business operators Driver: Animal
welfare is a relatively recent science and has not been part of the curriculum
of many professionals dealing with animals. Problem:
Stakeholders are not aware of animal welfare and its implications. Example: Low
level of knowledge has had an effect on the conception of most modern
production methods. Many of them have been designed at a time where animals'
needs were ignored. The changes necessary to bring production systems in line
with modern science and consumer concern about animal welfare imply investments
and increased production costs but also knowledge among today's operators and
public officials about alternative practices and better management. The way animals perceive pain, suffering or
comfort can be objectively measured through scientific investigation. But
because the subject also encompasses ethical dimensions it is controversial. It
is therefore important that measures be based on scientific data. Since its
creation, EFSA[71]
has played an important role in assessing risks to animal welfare. While EFSA
does not in itself carry out scientific research into animal welfare, it has
provided important reviews of the current scientific knowledge in this field
(Annex 2J). The evaluation revealed that 80 % of EU
funding for research on animal welfare[72]
is spent on experimental animals (of which there are 12 million), while only
20% goes to farmed animals including farmed fish and poultry, of which there
are several billion. The evaluation also stressed that research funding is also
needed for wild animals kept in captivity. At present, hardly any EU funding is
used for that purpose and relatively little research is carried out in this
field. In addition, the evaluation has indicated that,
beyond additional funding for research on animal welfare at Member States and
EU level, there is a need for further coherence and coordination between Member
States as well as further dissemination of research results to stakeholders as
to transform findings into practical innovations. Source: the
evaluation report, EFSA reports. 4. Inconsistency for different animal species Driver: Limited
scope of EU rules, regulations and guidance, difference between national rules Problem: Some
categories of animals are not subject to adequate welfare conditions. Example: There
is no EU legislation on the welfare of dogs and cats. The evaluation has
revealed that the general directive on the protection of farm animals and the
directive on zoo animals contain provisions that are too general to have a
practical effect. They would need to be completed by more specific guidance or
rules. Only a few Member States have developed more specific rules on animal
welfare for farmed animals (UK, NL, DE and SE). Source: the
evaluation report, EconWelfare project, Member States (for dogs and cats).
2.4.
Baseline scenario
The baseline scenario is defined by the
continuation of the current policy, mainly in form of the existing legislative
framework. This is set out in detail in Annex 4, with a description of all
relevant legal acts, their main provisions, and impacts on animal welfare,
problem drivers and an assessment of the evolution without any new or
additional EU initiatives.
2.4.1.
Baseline by specific areas
Housing and management of farmed animals For pigs, a positive evolution is expected by
the implementation of the grouping of sows from 1.1.2013 but difficulties are
however likely in certain Member States. The Commission is presently working
with the Member States to evaluate the level of readiness of pig producers. A
positive evolution is also expected for the phasing out of the castration of
piglets through the implementation of a private public partnership initiated in
2011. However, no positive change are expected for
tail docking and tooth clipping as well as the implementation of manipulable
materials. Those practices are entrenched among pig farmers and linked to the
use of fully slatted floors. Alternatives exist but are often unknown by
farmers. For laying hens, a positive evolution is
expected through the implementation of the ban on battery cages that will apply
to all holdings from 1.1.2012. This evolution has required and will continue to
draw Commission resources since the level of implementation has been unequal
between Member States. However, the decreasing of beak trimming seems unlikely
without more resources to educate farmers on alternatives. For broilers, positive evolution is expected
since new EU legislation has been adopted in those areas. However, the
legislation on broilers will not address all problems, in particular feed
restriction (animals are sometimes fed every two days). The new directive will
not address the problems related to parent flocks but a report is foreseen in
the future. Transport The transport of unfit animals is likely to
remain a real problem except may be for adult cattle where private initiative
has been taken. Lack of space, water and feed and lack of rest during very long
journey may be addressed by further actions on enforcement through navigation
systems. For farmed fish the baseline scenario includes
the implementation of the actions included under the Aquaculture Strategy (i.e.
address the difficulties related to the implementation of the transport
Regulation). Slaughter and killing The new regulation on the welfare of animals at
the time of killing is likely to address a number of current problems but will
not change the situation regarding the use of the derogation from stunning.
However, the Commission has engaged a dialogue with the Member States concerned
and a positive evolution could be envisaged taking always into consideration
the respect of freedom of religion and the need to not stigmatise any religious
community. Keeping of other animals As regards farm animals without specific provisions
(except Directive 98/58), there is no perspective of positive evolution in many
cases (see Annex 4A). For farmed fish, as already mentioned, the
Aquaculture Strategy foresees an evaluation of fish welfare issues in
aquaculture. However, there is a possibility for a positive
evolution in two cases. The ban of the use of individual cages for ducks in
France (a provision that should have been implemented five years earlier) since
French authorities have agreed to implement the ban which derives from the
provisions of the European convention for the protection of animals kept for
farming purposes. Another positive evolution is foreseen for fur
animals, since the European Fur Breeding Association has decided to make animal
welfare as one of its priorities in the future. They have in particular decided
to invest in research for developing animal welfare indicators. However, there are still a number of
important problems without foreseen positive evolution. Some Member States
have adopted specific requirements for dairy cows. Germany has recently adopted
standards for the farming of rabbits but the main producing countries (France,
Italy and Spain) have no specific animal welfare requirements for rabbits.
Farmed fish is not subject to specific animal welfare legislation in most
Member States. Same applies for turkeys. The UK and Sweden are two of the
Member States having a wide range of specific provisions for farm species
according to the Econwelfare project. No positive evolution is foreseen for the welfare of dogs and cats as there is today no
EU framework and the investigation performed by the Belgian Presidency has
shown that the level of protection differs widely between Member States.
2.4.2.
Baseline deriving from common drivers
1. Addressing the lack of enforcement Several mechanisms are used to improve
enforcement. Enforcement is primarily under the
responsibility of the Member States which have much larger resources than the
Commission to ensure compliance of business operators. The Commission' role in
improving enforcement is therefore essentially to stimulate and facilitate the
work of the national/regional competent authorities and not to check compliance
directly. Enforcement is primarily under the
responsibility of the Member States which have much larger resources than the
Commission to ensure compliance of business operators. The Commission' role in
improving enforcement is therefore essentially to stimulate and facilitate the
work of the national/regional competent authorities and not to check compliance
directly. As the EU legislation has often implied new
investments or practices, transitional periods have been set up when important
changes were requested. Directives requesting major changes were accompanied
with long transitional periods[73]
allowing progressive adaptation. If the conversion to the grouping of calves
went relatively well, the conversion of systems for laying hens or sows seem to
be more problematic. In the laying hen sector, part of the industry seems to
have neglected the opportunity of a long period of adjustment in the hope of
changes for less stringent measures. Therefore, if long transitional measures
seem to be necessary for certain sectors to adapt, it does not seem always
sufficient to work in isolation and other measures seem necessary. State aids have been used in some Member States
to encourage farmers in converting their farming system for better compliance
to EU rules (in particular for laying hens). As for Rural Development
Programmes, the possibility of acceding to those funds depend on each Member
State to dedicate financial incentives for better complying with EU rules on
animal welfare. Impacts of state aids in addressing competitiveness issue have
therefore been globally limited. As regards the legislation on farmed animals,
Member States are regularly monitored by Commission' experts of the Food and
Veterinary Office from the Directorate General Health and Consumers (FVO).
Inspections are carried out for all specific EU legislation applicable to farm
animals and their reports are made public on the internet[74]. There is no such mechanism
for the EU legislation on zoo animals. The legislation on experimental animals
foresees the possibility should there be due reason for concern. The FVO work has contributed to a more uniform
application of EU rules in the veterinary field including animal welfare. In
the average, the FVO performs around 10 visits per year dedicated to the animal
welfare legislation. The experience has showed that repeated FVO inspections
can address enforcement issues limited to areas of deficiencies involving the
competent authorities. The FVO has no mandate to inspect and sanction
business operators but only to supervise if competent authorities are doing so.
Their ability to contribute to compliance should therefore not be
overestimated. FVO missions are indeed less efficient in addressing widespread
problems due to operators who, mainly for economic reasons, preferred taking
the risk of being checked and possibly sanctioned rather than changing their
production processes. The best example of limiting effects of FVO inspections
is given on the difficulty in implementing requirements for manipulable
materials for pigs. With or without FVO inspection, in case of
failure of Member States to ensure enforcement of EU legislation, the
Commission may initiate legal proceedings against the Member State concerned.
In practice legal proceedings are a heavy procedure to be carried out taking
time and resources. The evaluation report pointed out that a legal proceeding against
one Member State has been going on for more than nine years without sanctions
imposed against this Member State[75]
despite the fact that the judgment is favourable to the Commission. In addition to FVO assessment, Member States
provide reports on their inspections and the level of compliance on the welfare
of farmed animals (See Annex 6 indicating the results for 2008). According to
this data, the overall rate of full compliance is relatively low for the three
main directives of the welfare of farmed animals (61%). Such monitoring
instruments are useful in the perspective of FVO missions. It seems however to
be of limited efficiency to improve enforcement if it is not associated with
other initiatives to analyse the underlying failures of Member States to reach
better levels of compliance. The analysis and the follow-up of Member States
data is also resource demanding. Following the adoption of Regulation (EC) No
882/2004 on official controls, the Commission has developed training activities
targeted at officials in charge of checking different aspects of the food
chain, including animal welfare. On average 185 officials are trained on animal
welfare every year. This initiative called "Better Training for Safer
Food" has contributed to raising the level of competence of inspectors as
well as raising awareness of the EU legislation for participants from third
countries. However, only officials have access to such training and their
number is limited. The present capacity of BTSF can not match the overall number
of officials in the EU. Secondly it tends to select specific participants due
to language consideration. Lectures and interactions between participants are
usually in English and it is therefore difficult to reach officials that are
strictly monolingual in many Member States. There is an ongoing project to
develop e-learning modules for BTSF, including for animal welfare, but the
process is not yet implemented and could possibly address those limitations.
However, it is not yet certain that e-learning alone will create the necessary
interactions and knowledge sharing that a local structure could perform. The Commission has occasionally organised
specific workshops on enforcement issues with stakeholders or/and competent
authorities. Working groups of competent authorities have been used in
particular in relation to the transport of animals or on ritual slaughter.
Workshops with stakeholders have been organised on the use of manipulable
materials for pigs, on pig castration or on the implementation of the laying
hens directive. According to the participants, all such initiatives are useful
in bringing all partners together but can only be effective if the Commission
continues after the event in ensuring a certain follow up in providing
guidelines or organising more specific actions. The effectiveness of such
instruments is however limited. It requires additional resources to manage the
organisation and the follow up of regular meetings. Secondly it can only be
effective if it is based on clear legal requirements (like the ban of battery
cages or the use of manipulable material for pigs). The effectiveness of such
approach for providing "interpretation" of EU rules that may be open
to divergent legal readings is more limited. The current EU policy, through two specific
pieces of legislation (directive on broilers and regulation on killing), has
started to introduce a more flexible approach, progressively replacing
resource-based requirements (like the width of slatted floors, or the number of
lux for light in pig farms) to outcome-based indicators (like the mortality in
broilers). Introducing animal-based indicators through
individual pieces of legislation is likely to take more time than adopting a
horizontal approach. In conclusion, the current policy with the
present level of resources is able to address a number of critical enforcement
issues but is limited in scope and is not efficient in addressing problems
related to the management of the animals. The baseline is therefore unlikely to address the lack of enforcement
in a number of aspects that are indirectly related to other problem areas (no
economic incentives, lack of knowledge). 2. Addressing the consumers' market choice
with respect to animal welfare standards On the producer' side The EU has tried to address the issue of
competitiveness through different instruments. Establishing common standards
have contributed to limit differences in production costs between Member
States. The Common Agriculture Policy contains
financial measures in the European Agricultural Rural Development Fund (EARDF)
to compensate farmers in implementing higher welfare standards ("animal
welfare payments" measure 215). According to the evaluation, an average of
50 million euros per year is used for that purpose. Rural development fund
works through national or regional programmes that are submitted for Commission
approval and requires a certain level of co-financing by the Member States. Animal welfare payments are not compulsory[76] and are therefore not widely
used by the Member States. Other measures under this fund can be used to
improve the welfare of animals ("meeting standards" – measure 131 or
"modernisation of farm holdings" – measure 121) but are not specific
and no precise figures can be provided on the amount possibly dedicated to
animal welfare. In principle these measures should compensate EU farmer for
implementing animal welfare legislation and additional cost related to its
compliance. However the efficiency of such measures is difficult to monitor in
terms of animal welfare. Programmes are submitted to the Commission but without
a proper system for evaluating them in terms of animal welfare outputs, there
is no evidence that they deliver substantial benefits for the animals. Compared
to the list of specific problems identified in Annex 4, there is no evidence
that rural development programmes having a welfare component (when they exist)
have contributed to substantially reduce their incidence. .In order to address the competitiveness issue
at global level, the EU has engaged a set of international activities to
improve the level of awareness of animal welfare in third countries (see Annex
2K). A first approach has been to promote on a
multilateral basis, global international standards through the adoption and the
promotion of internationally recognised animal welfare standards. The EU has
been successful in supporting the World Organisation for Animal Health (OIE) in
adoption a series of guidelines on animal welfare for farmed (transport and
killing) and experimental animals. Such EU action has been very positive in
establishing a common ground of discussion with third countries on animal
welfare and trade. This action however needs to be continued, as a number of
important areas (farming of pigs, poultry, etc.) are not yet covered by
international guidelines. Another approach has been to work on a
bilateral basis with certain third countries through specific trade agreements
or cooperation forums. Today there are several bilateral cooperation activities
ongoing which contribute to establish equivalent animal welfare standards in
third countries to those in the EU. The evaluation has revealed that both
approaches are supported by all stakeholders but need to be extended,
especially in the context of further globalisation of agriculture markets. On the consumer' side Except in the case of eggs (obligatory[77]),
organic products (voluntary EU regulation not specifically aimed at animal
welfare issues) and poultry meat (voluntary production method labelling), there
are no specific EU rules on how to inform the consumer about animal welfare.
Moreover, there are few voluntary certification schemes focusing on animal
welfare[78]
[79]
and their market shares are relatively limited in most EU Member States. The
Commission adopted a communication on animal welfare labelling in 2009 but
debates in the Council did not point out a single direction, most Member States
being opposed to establishing a new compulsory labelling system as it exists
for eggs. The current EU policy provides some instruments to compensate
producers from higher production costs. Transitional periods have not been
proved to be very successful[80].
There is little evidence that the rural development fund is able to address the
main animal welfare problems because the measures on animal welfare are not
compulsory and requirements for funding are not very specific (no benchmark). On the consumer' side, except for eggs, there is no specific EU
instrument that could encourage consumers to express a choice in favour of more
animal welfare friendly products. The baseline is therefore not expected to substantially address the consumers'
market choice with respect to compliance of animal welfare legislation or to
their specific concerns for animal welfare. 3. Addressing the lack of knowledge of
business operators Request for education and competence for
animals' handlers have been introduced in some EU legislation (directive on
pigs, directive on experimental animals, regulation on animal transport, and
the new regulation on the protection animals at the time of killing). The
experience drawn from those requirements indicate that their implementation
will depend in part on their level of precision and secondly on their level of
implication of the sectors concerned. In the case of pigs, requirements for
competence are rather limited and vague (having knowledge of the EU
requirements) and do not focus on the underlying scientific rational for
applying the legislation. The effects for changing a number of problematic
practices appear very limited. In other cases, requirements have been more
detailed and specific and the approach seems to have provided better results.
Following an external study on the impacts of the EU legislation on animal
transport, stakeholders agreed that the introduction of a requirement for
competence has improved the handling of animals. However the current requirements have limited
effects. Those requirements do not cover the handling of all animals covered by
the EU legislation (no requirement for calves, laying hens or other farm
animals) and not specific enough for pigs. In addition those requirements are
directed to personnel handling animals while a number of painful procedures are
related to the design of the production system (animals handlers can not change
the space dedicated to animals for example or avoid tail docking if pigs are
biting each other due to poor environment). The EU has funded a number of research projects
through the different framework research programmes. The evaluation estimated
that the EU spends an average of 15 million euros on research animal welfare
projects. However most of them are dedicated to the finding of alternative
methods of testing (80%) while most animals are farmed. The evaluation has also
pointed out the difficulty in dissemination and coordination of research
findings within the Member States. As regards farm animals, the Welfare Quality
Project has been successful in developing a new approach for assessing and
measuring animal welfare on farm through outcome based animal welfare
indicators. The current EU policy for addressing the lack of knowledge of
business operators is relatively successful for improving the handling of
animals. However it is today too limited to address problems related to the
design of production systems. The EU policy on research has positively
contributed to develop new approach in assessing animal welfare but funding on
farm animals remain limited. The baseline is therefore expected to be positive but limited in
scope. A number of training requirements are still in a process of being
implemented[81]
and would need to be assessed in their effects. The current level of EU funding
for research is likely to positively contribute to better knowledge on animal
welfare but would have limited impacts if not accompanied by more efforts in
dissemination and translation into practical tools. 4. Addressing the lack of specific
legislation or guidance on certain animals Without specific EU legislation, a number of
animal issues are left to the initiatives of the Member States. The Commission
does not have a comprehensive view of the Member States initiatives in the
field of animal welfare where the EU has no recognised competence. However, on the welfare of dogs and cats, the
Belgium Presidency in 2010 conducted a survey with the Member States which
indicate that national animal welfare requirements applicable to dogs and cats
vary widely between Member States (identification and registration of dogs,
trade of dogs on markets, licensing of pet shops, the ban of ear cropping, tail
docking, licensing of shelters, etc.). From the Council conclusions (see Annex
2I), it appears useful for the EU to investigate if there are problem areas
(trade of dogs in particular) where the EU could provide better results than
national measures. On the welfare of farmed animals not covered by
specific EU legislation (as for example adult cattles, sheep, goats, turkeys,
rabbits, fur animal or farmed fish) the Commission has fragmented information
on the way Member States have adopted specific requirements to reflect the
principles laid down in the EU legislation for farmed animals (Directive
98/58). The EconWelfare research project made a
detailed comparison of national farm animal welfare legislation in some Member
States (see evaluation report p. 42). Some of them have specific requirements
on fur animals (DE, IT, NL and DK) and dairy cows (DE, SE, UK, DK and under
discussion NL). The current EU policy does not address a number of animal welfare
issues since there are no specific EU rules or other EU instruments available.
The Commission does not have a comprehensive view on the Member States
initiatives in this field but the data collected (on farm animals and dogs and
cats) indicate that the range of initiatives taken by the Member States spreads
from no action to very detailed rules. The baseline is therefore expected to have positive effect on the
welfare of animals only in the few Member States having an active policy.
However national policies may negatively affect the producers of those Member
States putting them at competitive disadvantage. The baseline is also expected
to have a negative impact on the welfare of animals of many Member States who
do not take specific measures on those animals.
2.5.
Subsidiarity test
According to the principle of
subsidiarity (Article 5.3 TEU), action at EU level should be taken only when
the objectives envisaged cannot be achieved sufficiently by Member States alone
and can therefore, by reason of the scale or effects of the proposed action, be
better achieved by the EU. The objectives of the present strategy meet these
conditions. Firstly, measures adopted by the Member States
in the field of animal welfare can have an impact that is felt across national
borders. In particular, they can create obstacles to trade between Member
States and distort competition. Different rules on animal transport pose a
problem where transport is carried out across national borders. Such obstacles and problems cannot be overcome
by the Member States alone. It is therefore justified for the EU to take action
by harmonising certain provisions on animal welfare. The EU has indeed
progressively adopted several pieces of legislation on animal welfare, in
particular regarding farmed animals. To the extent to which such provisions are
already in place, the EU is best placed to refine them and to develop them into
a coherent system for different species of animals for which rules at the level
of the EU are necessary. Secondly, where harmonised rules are in place,
it is in principle the task of the Member States to enforce those rules.
However, important differences in the level of enforcement between the Member
States do not allow the objective of those rules to be attained. Where such
differences are found, it is therefore justified for the EU to take action and
to promote a more uniform approach to enforcement. Thirdly, consumers across the EU are confronted
with a great variety of animal welfare attributes. To allow consumers to
understand and compare such attributes and to allow producers to make credible
claims as regards animal welfare, the visibility and the credibility of animal
welfare claims could be improved through a system allowing their EU-wide
comparison. The EU is in a better position to draw up such a system than the
individual Member States. Fourthly, harmonisation at EU level of rules on
the welfare of animals requires the EU to be in a position to judge on the most
appropriate standards for animal welfare. It thus seems justified for the EU to
contribute to the advancement of research in the field of animal welfare,
building upon the efforts made by the Member States and complementing the
activity carried out by them. At the same time, the EU has a role to play in
the dissemination of knowledge of animal welfare issues. This is particularly
true due to the fact that Member States have no coordinated approach and most
efforts are made in those regions in which operators are already well aware and
knowledgeable about animal welfare.
3.
Objectives
3.1.
General objectives of the strategy
The proposed new EU strategy on animal welfare
would have two general objectives: –
to give animals a level of protection and
welfare that reflects European societal concerns; –
to ensure fair competition for the EU animal
sector in the context of the internal market. These general objectives touch upon economic, social, environmental,
public health and consumer welfare objectives, also with an international
dimension.
3.2.
Specific objectives
Based on the analysis of the problem drivers,
the specific objectives of the new strategy on animal welfare can be summarised
as follows: –
Objective 1: to improve enforcement of
the EU legislation in a consistent approach across the Member States; –
Objective 2: to provide for open and fair
competition for EU business operators that implement or go beyond EU
requirements; –
Objective 3: to improve knowledge and
awareness of EU business operators regarding animal welfare; –
Objective 4: to improve the coherence of
animal welfare across animal species. Indicators for each specific objective are laid
down in Annex 5A.
4.
Identifying the options
There have been four main options identified,
which reflect the problems and its drivers. They are reflecting the full range
of EU and Member states level action, including non-legislative and legislative
tools. Two options were not considered in this report: (a)
The No EU action option has been excluded
because the baseline scenario indicated that it has no chance to deliver
substantial improvements in a number of major problems identified. Enforcement
through the classical approach is limited if not associated with other
instruments (knowledge approach, market approach). Lack of economic reward to
producers is partially addressed through the CAP but lack of efficiency without
a transparent and measurable benchmarking system. Insufficient knowledge is not
correctly addressed with the current measures (BTSF, certificate of
competences, EU research programmes, EFSA) and need to be expanded as to be
closer to stakeholders. Finally, the current baseline is unlikely to address a
number of situations potentially or certainly critical on animal welfare taking
place at a large scale (dairy cows, turkeys, dogs and cats). (b)
The sector-based approach option (opposed
to the holistic approach taken in this report) has also been excluded. This
option could have addressed certain aspects of the problems through the
amendments of sector-specific legislation. This could have introduced
requirements for competence and the possibility of using animal welfare
indicators (see options below). However, such approach would require the change
of at least eight specific legislative acts, while the work could be performed
with one act, ensuring better consistency. The sector-based approach would also
make very difficult to use a market based approach (see later) as well as
addressing the insufficient coherence and dissemination of research outcomes. When discussing future policy options, most
stakeholders considered that a policy mix would be necessary. The adoption of a
framework law was strongly supported by the European Parliament (Ms Paulsen,
MEP). Producers’ organisations were mostly in favour of improving enforcement
through non-legislative tools while NGOs considered that new laws would be
necessary, combined with more non-legislative action. Member States are
uniformly supportive of better enforcement. There is also a wide support for
the establishment of an European network of reference centre for animal
welfare, provided that it is not creating a new structure.
4.1.
Option 1: Strengthening Member States'
compliance (EU level non-legislative tools)
In this scenario, the current EU legislative
setting will remain unchanged. Existing rules may be updated or new rules
adopted on an ad hoc basis but it will not be a priority. Option 1 will include the following
initiatives: · Increase the number of audit missions in the Member States and third
countries; · Strengthen inter-governmental cooperation to promote better
enforcement; · Organise workshops with stakeholders on specific animal welfare issues; · Develop EU guidelines for species covered by the European Convention
for the Protection of Animals kept for farming purposes; · Increase the participation to the training initiative Better
Training for Safer Food. All these initiatives will primarily aim at
ensuring that the Member States put in place and perform the necessary measures
to achieve better enforcement of the EU legislation. Further details on Option 1 are provided in
Annex 5B.
4.2.
Option 2: Benchmarking voluntary schemes (EU
support to sector self-regulation)
In this scenario, a new legislative act will be
proposed but the rest of the EU legislative setting will remain unchanged.
Existing rules may be updated or new rules adopted on an ad hoc basis but it
will not be a priority. This option will also include communication campaigns
for informing consumers of EU requirements as well as of the new EU framework
for animal welfare claims. In addition this option will prioritize EU actions
on animal welfare at international level through multilateral and bilateral
negotiations. Option 2 will include the following
initiatives: –
A legal framework for benchmarking certification
schemes with animal welfare claims; –
Communication campaigns for informing consumers; –
Prioritizing of EU actions on animal welfare at
international level. The Commission will propose a new specific
legislation to provide for open and fair competition for voluntary
certification schemes containing animal welfare claims. This legal framework
will allow certification schemes to be registered at EU level. The registration
will imply the preliminary establishment of an EU benchmark where applicant
certification schemes will be positioned (the bottom of the benchmark being the
EU legislation and the top the most animal welfare friendly scheme in the EU).
The EU benchmark will be established for each type of activities (dairy
farming, etc.) where there are applications for registration. The validation of
the EU benchmark and the registration process would be performed by the
Commission with the opinion of a multi-stakeholders committee (farmers, food
processors, retailers, food services, certification scheme owners, scientists
and animal welfare organisations). Further details on Option 2 are provided in
Annexes 5C and 5D in particular why we have not considered the extension of a
compulsory labelling system for pig or poultry meat as it exists for eggs.
4.3.
Option 3: Establishing a European network of
reference centres (Specific EU legislation)
In
this scenario, the Commission will present a legal proposal to establish a
network of reference centres on the basis of a model that exist in the field of
animal health and food safety (network of reference laboratories as laid down
in Regulation 882/2004 on feed and food control). The
idea of a network of reference centre has been extensively presented in a
specific Commission communication[82]
in 2009, accompanied with an corresponding impact assessment report. This
network will not be a new EU structure but the consolidation, through
co-financing, of existing scientific national resources on animal welfare. The
role of this network will not duplicate the role of the European Food Safety
Authority which gathers research findings and provides the EU institutions with
scientific risk assessments on the food chain as well as on animal welfare and
the activity of the Joint Research Centre of the EU. Reference
centres could be organised by animal welfare topics in line with the current EU
legislation making a need of about nine specific centres[83]. Each centre will have the
following roles: –
Coordinate at EU level and carry out research on
EU relevant themes in collaboration when appropriate with existing EU funded
research structures like the SCAR (Standing Committee on Agricultural Research)
collaborative working group on animal health and welfare research[84] and the the Animal Health and
Welfare ERA-Net (ANIHWA)[85]
; –
Provide scientific and technical expertise to
competent authorities on the EU legislation; –
Disseminate research findings and technical
innovations to EU stakeholders; –
Disseminate research findings among the EU and
the international scientific community; –
Coordinate at EU level the listing and the
evaluation of professional training activities related to animal welfare. The
Commission adopted a specific communication[86]
on the establishment of a European Network of Reference Centres in 2009 based
on an external study. Under
Option 3 an increase in the EU funding for research on animal welfare including
wild animals in captivity will be examined as a possibility. Further
details on Option 3 are provided in Annex 5E.
4.4.
Option 4: Streamlining requirements for
competence and using animal welfare indicators (EU general framework law)
This option will be a legislative proposal for
a general EU law on animal welfare to simplify requirements already laid down
in certain pieces of EU legislation as follows: –
Requirements for competence will be integrated
in a single common text and more precise; –
The possibility of using animal welfare
indicators will be introduced as an alternative to compliance with functional
requirements of existing legislation. This will imply replacing Directive 98/58
(umbrella directive for all farmed animals) by the new law. Option 4 will be limited to the categories of
animals presently covered by specific pieces of legislation (calves, pigs,
laying hens, broilers, transport and killing of animals, experimental and zoo
animals). Further details on Option 4 and 4+ are provided
in Annex 5F.
4.5.
Option 4+: Investigating the possibility of
extending the scope of Option 4 (EU Framework Law with increased scope)
As set up in the problem definition, there are
documented evidence that animal welfare problems exist at various scale in
species where the Union has not provided particular rules for their protection.
The aim of Option 4+ is therefore to address this issue in order to verify if
those animal welfare issues are relevant for the Union. In addition to Option 4, Option 4+ will
investigate on the relevance of extending the scope of Option 4 to other
animals where animal welfare problems have been identified (dairy cows, beef
cattle, rabbits, turkeys) as well as to dogs and cats. The investigation will
consist of launching a series of studies for assessing whether the welfare
problems identified by scientists are significant at EU level and whether they
affect the functioning of the internal market or other EU objectives. In Option 4+, the studies will aim at: –
Quantifying the scale of the welfare problems in
the EU; –
Establishing the existence or the risk of market
distortions or risk related to other EU objectives (public health) due to the
absence of EU rules; –
Analysing the impacts of extending the
requirements for competence on the economic sustainability of the sector(s)
concerned and on the Member States budget.
5.
Impact analysis
The present report aims at assessing the
impacts of the strategy, keeping in mind that any subsequent legislative
proposals arising from this initiative will be supported by separate impact
assessment reports.
5.1.
Methodology
In the following assessment, the impacts of the
proposed options on the specific objectives, and on some other relevant
aspects, are considered. The list of impacts considered is discussed in Annex
5G. However the impacts are only mentioned in the main text if they have been
considered significant. The present impacts are always compared to the
baseline scenario.
5.2.
Impacts of Option 1- Strengthening Member
States' compliance
5.2.1.
Impacts on objective 1- improve enforcement
Further auditing and advice from Commission
services to the national authorities are likely to improve enforcement. Past
experience shows the effectiveness of this approach, which is why the Food and
Veterinary Office (FVO) of DG SANCO was created and continues working on food
and veterinary issues. However, to increase compliance does not necessarily
mean increasing the number of audit missions, since the Commission may use
other tools to make progress and ensure follow-up. It should be also noted here
that the FVO is today only working on farmed animals and there is no legal
framework to extend their activities to zoo animals. The legislation on
experimental animals foresees the possibility of controlling national
inspection systems should there be due reason for concern. It should be reminded here that enforcement is
primarily the role of the Member States' competent authorities which have or
should have the necessary resources to ensure that non compliances are
identified and possibly corrected. Commission visits to the Member States are
efficient in pointing out defects of the inspection services but not at
correcting non compliance by operators since the problem is on a very different
scale. Measures to be taken by the Member States may take months to have
effects (like training officials, prepare instructions, print leaflets for
stakeholders, etc.) and increasing the number of visits of Commission' official
will not necessarily provide better results. Strong enforcement policy has been partly
successful in the ban of battery cages (at the present time we don't know yet
whether all EU producers will comply with the 1.1.2012 deadline). Since the
measure is unambiguous and easily verifiable, it is likely to succeed. The
implementation of the grouping of sows through similar pressure from the
Commission is likely to succeed for similar reasons (clear measure and
deadline). However, enforcement policy through inspection and threat of
infringement proceedings is less successful for requirements related to the
management of the animals (like feeding, watering, handling, light, etc.).
Unlike the design of facilities (battery cages, grouping of sows), they are
dependent on the way animals are treated on a daily basis. Such issues demand a
proper awareness and understanding of animals' by owners and handlers as well as
officials and can not be established overnight. They are also more difficult to
verify and often based on sufficient knowledge and experience. Strengthening intergovernmental cooperation
through thematic working groups (of officials) is useful in providing
clarification in some aspects of the legal texts and allows exchange of good
practices between the different competent authorities. Such exchanges also need
to be translated and communicated to stakeholders through specific guidelines
to have a broader effect. Such an approach has been punctually used in the past
(in particular for the transport of end-carrier animals) and provides positive
results. We could expect even more positive results if
certain provisions could be further explained and detailed by the Commission
regarding the species covered by the Council of Europe Convention for the
protection of animals kept for farming purposes. However, the Commission's role in providing
quasi-legal interpretation has been challenged by some stakeholders since they
consider that such interpretation may go beyond what is actually agreed in the
legal text. Such EU guidelines are not binding and are unlikely to address
issues that are driven by economic interests (head space in transport for
example). Increasing the participation of officials to
Better Training for Safer Food initiative is expected to have a positive effect
on enforcement. Those training sessions provide useful inputs for inspectors
and contribute to establishing a network of officials having similar technical
interests. The initiative is not available for the directive on experimental
animals or zoo animals. Workshops with stakeholders have been used in
the pig sector to address recurrent problems arising from the routine use of
tail docking and the absence of manipulable material. It seems to provide
positive results for a similar development has begun on of animal[87] transport issues and is
welcomed by all stakeholders. Apart from EU legislation, a similar approach[88] has been developed to end pig castration
by 2018 and a declaration to this effect has been endorsed by the main
stakeholders at EU level. This project is closely followed by the Commission
which would like to provide accompanying measures to finance a number of
necessary technical studies. Funding is therefore a contributing factor in
facilitating stakeholders to work on changes of current practices. The overall impact of Option 1 in terms of
improving enforcement is expected to be fairly positive (++) but limited in
scope (no much on experimental and zoo animals) and in certain problem areas
(efficient in problems related to design but less in relation to management).
5.2.2.
Impacts on objective 2- provide for open and
fair competition
This option is expected to have no significant
impact to provide for open and fair competition. It will have a positive impact
in creating a level playing field between operators, in particular as regards
measures related to the housing of animals (battery cages/grouping of sow).
However, consumers will not be better informed on the welfare aspects of the
products they buy. International competitiveness will not be
significantly affected. Equivalent standards are required for slaughterhouses
from third countries exporting to the EU. But there is no legal requirement for
equivalency in other part of the EU animal welfare legislation. The overall impact of Option 1 to provide for
open and fair competition for EU producers is expected to be slightly positive
(+).
5.2.3.
Impacts on objective 3- improve knowledge
Option 1 is mainly targeted at influencing
competent authorities in performing enforcement so the effects on stakeholders
are likely to be limited. However two aspects of Option 1 may have
positive effects on the knowledge of stakeholders. The organisation of workshops on specific
enforcement problems have been positively used in the past in particular for
better informing stakeholders on the scientific background of certain EU rules
as well as the possible alternative methods available. A number of topics could
be addressed by this way to share positive experiences of good animal welfare
practices. For example developed to ensure a proper implementation of the
regulation on the protection of animals at the time of killing, on animal
transport or for the zoo directive. Industries representatives have usually been
very supportive of the organisation of such informative events and it has
created in some case, a dynamic for change (in the case of castration of
piglets). However the effects of such workshops should
not be overestimated. First due to logistical reasons, the number of workshops
and the number of participants that could benefit from those events is rather
limited (usually no more than 100 participants per event) compared to the
number of European operators concerned. The participation is often limited to
few EU lobby representatives. The organisation of such workshops also requires
substantial resources in time and money. The production of guidelines of interpretation
could also contribute to improve the level of understanding of animal welfare
among stakeholders despite the possible controversy concerning the legal value
of such documents. They may be translated in many languages and published on
the internet, providing much larger audiences than workshops. But they are not
necessarily increasing the level of involvement of operators in daily operators
since guidelines are more perceived as a top down approach. The overall impact of Option 1 to improve the
level of knowledge of stakeholders is expected to be slightly positive (+).
5.2.4.
Impacts on objective 4- to improve coherence
across animal species
Option 1 will not have an impact for clarifying
the need of further EU initiatives for certain categories of animals not
covered by specific EU rules. The development of EU guidelines for each
recommendation of the Council of Europe Convention may partially address some
animal welfare problems identified (like dairy cows, beef cattle, farmed fish,
etc.). However, the level of acceptance of such guidelines by some Member States
or/and stakeholders may be low. The previous debates on the revision/adoption
of certain recommendations by the Council of Europe (revision of the cattle
recommendation, preparation of the rabbit recommendation, and adoption of the
fish specific technical annexes) indicate that there are still a number of very
divergent views on how those recommendations could be interpreted. The
Commission has little legitimacy in interpreting such recommendations and it
remains uncertain if enforcement action in this field could lead to address the
identified problems. Furthermore there are a number of animal
welfare problems that are not covered by this convention (welfare of rabbits,
dogs and cats). The overall impact of Option 1 on objective 4
is expected to be neutral (0).
5.2.5.
Other possible impacts
Option 1 would require additional resources and
possibly affect the EU budget. According to the evaluation report, there
are today nine full time equivalent of DG SANCO for performing missions within
the Member States. There is no staff dedicated to the drafting of
implementation guidelines as interpretation is mainly provided through replies
to individual requests. Stakeholders' workshops and Member States working
groups are organised on an ad hoc basis with an average of ten per year with
the present resources. If guidelines would be developed for each EU
specific piece of legislation (at least 8 directives or regulations). As human
resources are unlikely to be extended, those costs could be externalised
through external consultants (at least for the drafting of guidelines). If the
work would be externalise this would require the amount limited to a period of
4 years making a need for an additional annual costs of +300.000 euros (2
guidelines a year with an external costs of 150.000 euros each). Further training activities of Better Training
for Safer Food would also require additional costs. Today's costs of BTSF
training is around 2000 euros per participant (travel and accommodation
expenses included) with 185 officials per year. These costs will be reduced by
the development of e-learning tool but an additional cost of 100.000 euros per
year seems realistic to extend the activities to a larger scope of persons. In the overall, Option 1 could be properly
implemented with an additional budget of 400.000 euros. The impact on the EU budget is therefore
expected to be slightly negative (-) or neutral (0) if the necessary resources
are reallocated from other activities. In no case the option will have negative impact
on fundamental rights and more specifically on the freedom of religion as it is
guaranteed in the relevant legislation on the protection of animals at the time
of slaughter or killing.
5.2.6.
Opinions of stakeholders on Option 1
Option 1 is unanimously supported by all
stakeholders (Member States, European Parliament, industries and animal welfare
organisations). They all consider better enforcement as a priority.
5.3.
Impacts of Option 2 – Benchmarking voluntary
schemes
5.3.1.
Impacts on objective 1-improve enforcement
Option 2 is a set of measures which aims at
encouraging operators who want to go beyond EU rules and not at forcing non
compliant operators to abide with the rules. Therefore, it cannot be expected
to have significant effect in improving enforcement in the short term. However, the increased economic value possibly
developed by this approach could move a subsequent part of operators from a
basic level of compliance to a higher level of animal welfare standards. This
evolution from basic requirements to higher standards has been well described
by the research project Econwelfare. The project has analysed 8 different
Member States with different level of animal welfare concern (from low
Spain/Poland to very high Sweden/UK) and approaches (from regulatory in Sweden,
market in the UK/NL or mixed in Germany). It appears that when the level of
concern increases, the market is more likely to improve animal welfare
standards. The regulatory approach is essential to ban the most unacceptable
practices but not necessarily the best tool to attract producers towards better
standards. Experience in the "Red Tractor"
certification scheme in the UK[89]
indicates that compliance is improved through private schemes and can lead the
authorities to decrease their official checks for members of such schemes. Another example is the promotion of the ‘Good
egg award[90]’
presented by an animal welfare organisation to major companies which have
anticipated the ban on battery cages. It shows that a initiative that aims at
publicising pro-active policy on animal welfare also contribute to enforcement.
Communication campaigns toward consumers part
of Option 2 are also likely to decrease the interest of non compliant behaviour
among business operators. Therefore, the overall impact of Option 2 to
improve enforcement is therefore expected to be slightly positive (+).
5.3.1.
Impacts on objective 2- provide for open and
fair competition
Option 2 will create further market
opportunities for EU business operators by improving the visibility of
certification schemes containing animal welfare claims. Because of its
voluntary nature, Option 2 will not negatively affect the margin of EU business
operators. On the opposite the establishment of an EU wide benchmarking system
for EU registered schemes will increase the opportunity for EU producers to
obtain better prices for improved efforts on animal welfare. At the same time,
EU retailers or food processors looking for suppliers with specific animal
welfare standards will be more efficient in using the EU benchmark. Option 2 will not jeopardize existing schemes
but provide them with better visibility and increase the transparency on the
nature and the level of the different claims. The framework provided by Option
2 could be used by quality schemes which focus on several dimensions of a
product and not exclusively on animal welfare. Option 2 will allow the existence of different
level of positioning on animal welfare from very high to basic standards,
making it possible for producers to make progressive improvements depending on
the business opportunities. Option 2 is mainly designed as a business to
business instrument but could be also used by certification schemes owners to
directly communicate to consumers. There is no unanimous agreement on how
consumers should be better informed about animal welfare, but Option 2 will
offer producers a tool they can use to develop their own schemes. It is
therefore likely that this would give consumers better information on animal
welfare, whatever the means of communication chosen by the different business
operators[91]. Option 2 also includes communication campaigns
towards consumers on the EU benchmark system to allow them to easily check if
their favourite brands or schemes are fitting with their expectations on animal
welfare. The EU benchmarking system could be further
associated with possible public advantages if they demonstrate certain quality
in improving compliance (decreasing the number of official checks) or their
validity in going beyond certain standards (rural development animal welfare
measure for example). The framework created by Option 2 could also be
later used in a context of further EU initiatives on Corporate Social
Responsibility[92]
or Public procurement initiatives[93]. Option 2 also includes a priority on
international activities on animal welfare. The development of bilateral and
multilateral cooperation on animal welfare will also contribute to facilitate
negotiations on the establishment of equivalent standards for products imported
from third countries. Already several international guidelines on animal
welfare have been adopted by the World Organisation for Animal Health and the
Commission is actively working in ensuring a proper understanding and
implementation of such guidelines through bilateral trade agreements,
cooperation forums or cooperation with FAO on capacity building. Improved animal welfare standards do not seem
to constitute a disadvantage for EU producers exporting to third countries. New
Zealand and Australia, countries which both apply similar animal welfare standards
to the EU, are very competitive exporters of live animals, milk and meat. This
seems to indicate that high welfare standards are compatible with high
competitiveness on the world market. In addition, the promotion of EU standards
internationally has raised awareness and will continue to do so among
international stakeholders. This awareness has been demonstrated in non-EU
countries by their adoption of further national[94] standards. Such
awareness-raising seems relatively easy to achieve, since most of the meat
imported into the EU today comes from just a few countries. Brazil and Thailand
provide 90 % of the poultry meat imports, Brazil and Argentina 60 %
of the beef and New Zealand 85 % of the sheep meat[95]). Further international activities would also help
improve the welfare of animals in non-EU countries. Although this is difficult
to monitor, it is clear that non-EU countries’ participation in training
activities and in scientific cooperation with the EU both indirectly increase
the welfare of animals. The Conference on Global Trade and Farm Animal Welfare
in 2009[96]
attracted participants and speakers from all over the world (Thailand, Brazil,
USA, New Zealand, and South Africa) and from different backgrounds (not only
NGOs but also businesses like Mc Donald’s, the Thai Broiler Processing
Exporters Association and international organisations such as the OIE, FAO and
World Bank). The organisation of such events helps raise awareness of animal
welfare. Therefore, the overall impact of Option 2 is
therefore expected to be very positive to provide for open and fair competition
for EU business operators (+++).
5.3.2.
Impacts on objective 3- improve knowledge
Option 2 is likely to improve the sense of
responsibility of business operators towards animal welfare. By creating a tool
for promoting certification schemes with animal welfare claims, more business
operators are likely to integrate this dimension as part of their business
objectives and consequently develop internal procedures for monitoring and
improving animal welfare in their process of production. However Option 2 in itself is unlikely to
create more knowledge among the business operators. The publication of EU
registered schemes and of a precise benchmark will stimulate competition and
possibly contribute to knowledge sharing among operators but will not
necessarily provide the technical tools needed for such development. As EU
registration is likely to provide some competitive advantages, certification
schemes owners are unlikely to provide many details to facilitate development
for other business operators. Therefore the overall impact of Option 2 to
improve knowledge is expected to be slightly positive (+).
5.3.3.
Impacts on objective 4- to improve coherence
across animal species
As option 2 is open to any certification scheme
containing animal welfare claims, we could reasonably predict that it could
used by sectors presently not covered by specific EU rules like cattle farmers,
fish farmers, etc. The fur farming industry is presently working
on developing a system for assessing the welfare of fur animals[97] that could lead to EU
registered scheme. Option 2 therefore possesses the potential for
addressing certain animal welfare problems not covered by the EU legislation
through private initiatives. However, as for the impacts for improving
enforcement, Option 2 is unlikely to address the worst practices. The
Econwelfare project indeed confirms that the regulatory approach remains the
best instrument to address the most unacceptable practices. Therefore, the overall impact of Option 2 on
addressing the welfare problems for categories of animals not covered by EU
rules is expected to be slightly positive (+).
5.3.4.
Other possible impacts
In terms of EU budget, Option 2 has
three components with different costs implications: –
Enacting legislation on voluntary benchmarking
has no costs implication for the EU budget as such, except if it is envisaged
to co-finance directly or indirectly the establishment of a benchmark. Funds
granted to a network of reference centres could include such obligation (see
Option 3); –
Promoting an EU benchmark to consumers would
have more significant costs implication. Based on communication budget used for
consumers in the agriculture sector (see Annex 4B for references on promotion
budget), it would be appropriate to dedicate an average of 450.000 per year[98] (possibly
in the framework of Regulation 3/2008 on information provisions and promotion
measures for agricultural products); –
Increasing international activities would costs
an additional 100.000 euros (doubling the present budget) Therefore the impact of Option 2 on the EU
budget is expected to be slightly negative (-) with an overall costs which
could vary from 100.000 to 550.000 euros. Option 2 is also likely to have a positive
impact on good governance since it will allow all stakeholders to take
part in the decision of assessing and approving EU benchmarking system and the
EU registration of certification schemes containing animal welfare claims. The
expected impact of Option 2 on good governance is expected to be slightly
positive (+). Option 2 should not serve as an instrument
aimed at better enforcing existing EU legislation. This would risk misleading
consumers while the enforcement of legislation remains a task for
administrations. Even if there was a clear distinction between official
standards and private schemes which aim to ensure certain product qualities,
official measures that should not direct or indirectly take a role in ranking
or regulating criteria related to private schemes, and their relevance in
relation of animal welfare development objectives. This would only risk
limiting the dynamic element of private initiative in this field and could
stand in the way of further developments. This would also seem the most
efficient way for allowing private initiative to identify those elements or
qualities to which consumers best respond. At the same time, it is recognized
that consumers and producers need to have access to reliable information. The
EU best practice guidelines for voluntary certification schemes for
agricultural products and foodstuffs[99]
offer a valuable tool for this purpose. In addition, transparency about what
different schemes is important to allow well-informed consumer decisions.
Existing initiatives to generate information about available schemes should be
used before adding new tools which in themselves risk reducing transparency. In no case the option will have negative impact
on fundamental rights and more specifically on the freedom of religion as it is
guaranteed in the relevant legislation on the protection of animals at the time
of slaughter or killing.
5.3.5.
Opinion of stakeholders on Option 2
Among some organisations of animal welfare
there is a conviction that it is necessary to extend the model of compulsory
animal welfare labelling existing for eggs to other farming sectors, with
reference to production methods. However this compulsory approach is not
supported by most Member States and organisations of farmers, food processors
and food retailers. Existing animal welfare schemes are also opposed to the
establishment of an EU logo on animal welfare as it may jeopardize their
efforts in developing their own logo or trade marks. As Option 2 is voluntary, it has been
positively received by most stakeholders including some animal welfare
organisations.
5.4.
Impacts of Option 3: Establishing of a European
network of reference centres
5.4.1.
Impacts on objective 1-improve enforcement
Option 3 will not have direct effect to improve
enforcement. However, the establishment of a network of reference centre on
animal welfare is likely to provide positive indirect effects on enforcement.
As we have seen in the problem definition, part of enforcement problems are
related to the lack of knowledge of business operators on the welfare
requirements of animals and on the possible alternative solutions. Better
understanding of the scientific underlying principles of the EU legislation is
essential to make rules implemented. Option 3 will provide the necessary network to
properly assess and list the educational resources available on particular
animal welfare issues. By this way, Option 3 will facilitate the access of
education to officials and business operators. Option 3 will also contribute to better
enforcement in providing technical assistance to competent authorities and
business operators. Practical methods of inspection could be developed by
reference centres as well as providing operators with concrete solution to
comply with some legal requirements. This is the approach taken by the World Organisation
for Animal Health, which has set up three collaborative centres for animal
welfare world wide[100]
to promote the implementation of their international guidelines by their
members. In the fields of food safety and animal health,
the EU co-finances reference centres for harmonising laboratory testing
methods, and they also play an important role in providing advice and
information at national level. In this way they contribute indirectly to a
better enforcement of EU rules. However as Option 3 does not create any
obligation for operators, it is unlikely to reach all producers and in
particular the ones that might need the most assistance. In addition assistance
and training do not address problems related to economic interests (like
overcrowding). Therefore, the impact of Option 3 on improved
enforcement is expected to be slightly positive (+).
5.4.1.
Impacts on objective 2- provide for open and
fair competition
As Option 3 will establish stable resources for
research and innovation on animal welfare, it is also likely to provide
positive input to the competitiveness of EU producers. Option 3 will also provide technical assistance
for business operators to possibly develop certification schemes, hence
increasing their competitiveness. However Option 3 will not raise awareness among
consumers nor improve their knowledge in more animal welfare friendly
practices. The Welfare Quality project[101] has helped develop
outcome-based welfare indicators that open the way for a wider and more
flexible method of assessing the welfare of animals on farms. Research can
provide innovative ways of improving the welfare of animals while providing
economic benefits. For example, a new electrical stunning method developed for
poultry[102]
also appears to be very efficient and reliable for stunning other animals, and
it produces fewer meat defects than the current method. Furthermore, the method
is cost-efficient, both in terms of investment and operating costs. More EU research would put the EU in a better
position to defend its standards in the international arena. The EU ban on
battery cages, supported by the EU research project LAYWEL[103], probably contributed to the
debate in California, where a similar ban was adopted in 2008. EFSA opinions
have also been used regularly for international standards purposes and have
helped bring about changes in non-EU countries. The OIE adopted an entire
article on CGUs (container gas units) in its terrestrial animal health code[104] based on UK research. EU research projects focusing on animal welfare
have also included academics from non-EU countries, building common
understanding and methodology on animal welfare world wide. For example the
Welfare Quality project included academics from Mexico, Uruguay, Chile and
Brazil. Therefore the impact of Option 3 for provide
for open and fair competition is expected to be slightly to fairly positive (+
to ++) depending on the level of funding available for supporting research in
this area.
5.4.2.
Impacts on objective 3- improve knowledge
The main components of Option 3 aim at sharing
knowledge on animal welfare. The experience existing in other fields like food
safety indicates that the appointment of reference centres improve the
visibility of scientists and help operators to find the proper information that
they need for improving their practices. The positive impacts of Option 3 will be
reinforced by the fact that one of the explicit mandate of reference centres
will be to evaluate and register educational resources at EU level. The specific study carried out the development of
European Network of Reference Centres in 2009 shows that there are already a
number of national bodies dealing with animal welfare. However these bodies do not have an EU
coordinating role or a mandate to provide information, advice or education to
stakeholders. They usually advise only on national policy and their advice is
for officials rather than stakeholders. Option 3 would make it possible to set
up such a network and to provide practical tools to help stakeholders implement
legislation and develop efficient ways of improving animal welfare. Option 3 also foresees increasing efforts for
funding research on animal welfare. EU research projects contribute to raising
awareness among stakeholders on animal welfare. They create a debate on the
issues to be addressed and the possible ways to tackle them. For example, the
PIGCAS project[105],
associated with Q-Porkchains[106],
and the pilot project ALCASDE[107]
have helped establish a voluntary EU-wide partnership to stop the castration of
piglets without anaesthesia by 2018. The Welfare Quality Project (FP6) has created
interest among many stakeholders and has opened the way for new initiatives
(e.g. WELFUR[108]
for fur animals) to extend or continue the work even without EU funding (see
EAWP[109]). Therefore, the overall impact of Option 3 on
the knowledge of business operators is expected to be fairly positive (++).
5.4.3.
Impacts on objective 4- to improve coherence
across animal species
If Option 3 is strictly limited to the scope of
the current specific EU requirements, Option will have no impact in addressing
the welfare problems of animals not covered by EU rules. If Option 3 is extended to the scope of the
Council of Europe convention on the protection of animals kept for farming
purposes (see Annex 2C), it could have a positive impact in addressing certain
problems. However this impact is expected to be limited for two reasons: –
There are species with no specific
recommendations (rabbits, dogs and cats); –
Reference centres will only work as available
resources for interested operators, leaving the worst situations unchanged. Therefore,
the impact of Option 3 to address the welfare problems of certain categories of
animals is expected to be neutral (0) to slightly positive (+)
5.4.4.
Other possible impacts
Option 3 would have an effect on the EU
budget since it would require a certain level of co-financing for setting
up the network of reference centres. A previous impact assessment[110] provides different cost
estimates ranging from € 600 000 to € 6 million per year
(depending on the different functions considered). By way of comparison, the
existing network of reference laboratories for animal health[111] costs the EU around € 4
million per year (16 laboratories co-financed at an average of € 250 000
per laboratory and per year). On the basis of 9 reference centres on animal
welfare, Option 3 will cost 9 x 250.000 € = 2.250.000 €. Therefore the impact of Option 3 on the EU
budget is expected to be slightly negative (-). In no case the option will have negative impact
on fundamental rights and more specifically on the freedom of religion as it is
guaranteed in the relevant legislation on the protection of animals at the time
of slaughter or killing.
5.4.5.
Opinion of stakeholders
There is a general support of Option 3 from all
stakeholders. The European Parliament in its resolution explicitly refer to the
establishment of a European Network of reference centres for animal welfare and
the Member States were globally supportive when the Commission communication on
the issue was presented in 2009. Additional funding for research is also
supported. However stakeholders and the Member States were
against the creation of a new EU specific body as they consider that it would
be more cost efficient to networking the current research resources than
establishing a new central body. Stakeholders were concerned by the risk of
duplication with the role of the European Food Safety Authority which provides
risk assessment on animal welfare. Some stakeholders and Member States also
insisted on the need for such a network to be limited to advisory and
supportive roles and not invested with an administrative power. This is why Option 3 has been designed to
address those concerns.
5.5.
Impacts of Option 4: Streamlining requirements
for competence and using animal welfare indicators
5.5.1.
Impacts on objective 1-improve enforcement
One of the reasons for poor enforcement is
often due to the limited understanding by some operators of the welfare needs
of the animals. Creating the obligation for a certain level of competence on
animals for animal handlers is therefore expected to contribute to better
enforcement in the field where today there are no requirements (farming of
calves and poultry). Such measures however take time to be
implemented because they entail developing/reinforcing a complex network of
training courses. In the long run, because the measure will be compulsory, it
will reach a wide range of operators and will have positive effects in changing
attitude towards animals. Compared to Option 3 (which will improve the
knowledge structure by establishing a permanent scientific network on animal
welfare), Option 4 has the advantage of covering the whole population concerned
while Option 3 is unlikely to change the attitude and knowledge of the persons
who do not actively look for improvement. In addition the introduction of the use of
animal welfare indicators for reaching compliance will allow certain
flexibility in the implementation of certain provisions and hence facilitate
enforcement. The extent to which animal welfare indicators could be used in
this context can not be detailed here as the system developed by the Welfare
Quality research project still needs to be adapted in a commercial context. Due to the large scope of the measure, the
impact of Option 4 for improving enforcement is expected to be fairly positive
(++).
5.5.2.
Impacts on objective 2- provide for open and
fair competition
The provisions of Option 4 on market
opportunities have two possible effects. On one hand, requirements for competence will
imply additional training costs. Those additional costs will only concern
farmers of laying hens and calves since the EU legislation on other activities
already provides for compulsory training on animal welfare[112]. Based on existing EU data, the average costs
for training could be between € 200 and € 300 per person[113]. Taking into account the
number of production sites for laying hens and calves (around 1.4 million), the
overall costs for training would be 1.4 million x € 250 = € 350
million. In the past, the impact of competence requirements has been mitigated
by progressive implementation[114].
If Option 4 included a transitional period of three years, this would imply
an annual cost of € 117 million for the first three years. These
estimates need to be put into the perspective of what the evaluation report
said on compliance costs. The evaluation estimated compliance costs for the
farming sector at € 2.8 billion, or 1.9 % of the value of EU
livestock output. If training requirements under Option 4 cost around € 117
million a year, this would increase production costs by less than 2 %[115] over the first three years.
Moreover, this estimated cost increase must be set against the long-term
benefits. It is expected that requirements for staff
competence and monitoring procedures will also have positive long-term effects
on competitiveness. Highly competitive sectors usually benefit from additional
competence. They are able to improve their quality management and other aspects
of their work[116].
The impacts of competence and monitoring requirements on animal welfare have
been assessed in a study on slaughterhouses[117].
In slaughterhouses, staff training can benefit businesses by reducing injuries
and stress, and this in turn may improve the quality of the firm’s products
(meat and leather). It confirms that training and monitoring generate costs but
also can bring benefits due to the improved overall quality of the work
performed. In addition, Option 4 will introduce the
possibility of using animal welfare indicators for compliance and provide a
more flexible legal framework which may decrease other compliance costs. Option
4 suggests shifting from a prescriptive approach to a more flexible system of
legislation, focusing on the outcomes for the animals. Animal keepers could
thus focus on the most efficient welfare-friendly measures while optimising
their operational costs. However some stakeholders are sceptical on the
possible benefits of introducing animal welfare based indicators. They fear
that it may increase the administrative burden on businesses. A comparative
approach could be considered here with the introduction of the requirement for
using the HACCP[118]
method for food businesses in the EU legislation on food safety. The 2009
evaluation of the hygiene package[119]
showed that small businesses, and in particular farmers, need simplified
procedures possibly designed via codes of good practice. Such an approach has
been fairly successfully used for food safety and should be kept in mind as a
possible way forward in the field of animal welfare. Therefore the impact of Option 4 to provide for
open and fair competition is expected to be slightly negative (-) to neutral
(0) depending on the potential benefits brought by additional training and the
introduction of animal based indicators in compensating training costs.
5.5.3.
Impacts on objective 3- improve knowledge
Creating requirements for competence will
probably increase knowledge of operators as this is the main objective of
Option 4. As the measure is compulsory it will have a much more powerful effect
than Option 3 (which will only reach persons who want to be trained). In addition, experience shows that personnel
who have been properly trained in understanding animals act more responsibly
towards them. Better knowledge brings a sense of autonomy and responsibility
that prescriptive measures do not succeed to establish. Furthermore, Option 4 will introduce the
possibility of using animal welfare based indicators to reach compliance. This
is likely to increase the sense of responsibility of operators as they will be
in a position to find the proper balance in the context of their operations.
The concept of introducing monitoring procedure has been introduced in two
recent pieces of EU legislation (Directive 2007/43 on broilers and Regulation
1099/2009 on killing) but it is too early to know to what extent this approach
will be able to offset market pressure for low standards. Experience of a
similar approach in the food safety area (by the introduction of the obligation
to apply HACCP rather than specific requirements) by the Food Law and
subsequent legislation (so-called "hygiene package" adopted in 2004)
has been considered to be globally positive by all stakeholders. Rather than
focusing on particular details, this approach focuses on requiring business operators
to establish a clear system for managing food safety in their establishment. The overall impact of Option 4 is therefore
expected to be very positive (+++) at improving the knowledge of business
operators on animal welfare.
5.5.4.
Impacts on objective 4- to improve coherence
across animal species
Since Option 4 will be limited to the current
scope of specific EU legislation, its impact on addressing welfare problems of
animals not covered by EU legislation is expected to be neutral (0).
5.5.5.
Other possible impacts
In relation to employment, the extension
of educational requirements to other farmers is expected to have positive
impacts on improving qualification and job satisfaction. Although there are no specific studies
performed on this aspect, business operators who have implemented educational
measures for animal welfare declared that they have observed positive results
for their employees. Workers have a better sense of purpose and satisfaction if
they can respect animals and know them better. Significantly, on 17 March 2011 the Council
underlined in the CAP ‘the importance of rural infrastructure and knowledge
transfer through inter alia vocational training and advisory services’[120].
5.5.6.
Opinion of stakeholders
Stakeholders (both industries and NGOs)
unanimously consider that educating workers has very positive and long-lasting
effects on the welfare of animals[121].
This is why some stakeholders have been actively involved in training
activities[122]. Despite additional costs, the industry is very
supportive of training requirements for different reasons. First, training
costs are usually lower than costs related to housing requirements and easier
to introduce progressively. Minimum spending on training employees is in any
case compulsory in many Member States due to social legislation and sometimes
subject to grants or tax reductions. Secondly, training is a measure that does
not affect the design of the production process. The opinion of stakeholders on the use of
animal welfare indicators is more open to debate than training requirements. Animal welfare organisations feel that animal
welfare indicators can not be a substitute for bad production designs (like
battery cages, individual stalls for sows, full slatted floor for many species,
etc.). Improving the management of a process in using animal welfare indicators
is considered to be useful only if it provides better results than the current
system. Some organisations are also worried about the risk of less legal
security due to the vagueness of the requirements (see below opinion of the
Member States). Farmers and other industry representatives are
usually supportive of the introduction of outcome-based animal welfare
indicators in the legislation. This is likely to provide them with flexibility
in pursuit of compliance. However, farmers are worried by the risk of higher
administrative burden relating to the need to keep records on procedures and
monitoring activities. Farmers also consider that the protocols developed on an
experimental basis by the Welfare Quality Project are too time consuming and
should be simplified. Member States usually support the use of
outcome-based animal welfare indicators. However, some of them like some NGOs,
fear that the use of indicators is much open to divergent interpretation and
will make the work of inspectors more difficult. They consider that
non-compliance will be more difficult to demonstrate than a prescriptive
approach. In no case the option will have negative impact
on fundamental rights and more specifically on the freedom of religion as it is
guaranteed in the relevant legislation on the protection of animals at the time
of slaughter or killing.
5.6.
Option 4+: Investigating the possibility of
extending of the scope of Option 4
As Option 4+ is limited to the performance of
particular studies, it is not expected to have a direct impact on the
objectives to be pursued except Objective 4 to address the welfare problems
encountered by some particular group of animals. Impacts on Objectives 1, 2 and 3 are therefore
not considered here while the impact of Objective 4 is expected to be slightly
to fairly positive (+/++) depending on the possible follow-up actions that the
studies will recommend. In no case the option will have negative impact
on fundamental rights and more specifically on the freedom of religion as it is
guaranteed in the relevant legislation on the protection of animals at the time
of slaughter or killing.
6.
Comparing the options
Tables below are compared with the impacts of
the baseline scenario. Table 1 —
Summary of the expected impacts of the options compared to the baseline Options Impacts || 1: EU non legislative actions Strengthening Member States' compliance || 2: Sector self-regulation Benchmarking voluntary schemes || 3: Specific EU legislation Establishing a European network of reference centres || 4: Framework Law Streamlining requirements for competence and using animal welfare indicators Impacts on specific objectives Objective 1: Improve enforcement || ++ || + || + || ++ Objective 2: Provide for open and fair competition || + || +++ || +/++ || -/0 compliance costs +117 million euros over the first three years Objective 3: Improve knowledge || + || + || ++ || +++ Objective 4: to improve coherence across animal species || 0/+ || + || 0/+ || 0 ++ if Option 4+ Other impacts EU budget || -/0 +400.000 euros || - +100 to 550.000 euros || - +2.250.000 euros or more || 0 Good governance || 0 || + || 0 || 0 Employment || 0 || 0 || 0 || + (Job quality) Stakeholders opinions Industries concerned || In favour || In favour || In favour || Reservation on animal welfare indicators Animal welfare organisations || In favour || In favour || In favour || Reservation on animal welfare indicators Table 2 –
Main benefits and costs of each option || 1: EU non legislative actions Strengthening Member States' compliance || 2: Sector self-regulation Benchmarking voluntary schemes || 3: Specific EU legislation Establishing a European network of reference centres || 4: Framework Law Streamlining requirements for competence and using animal welfare indicators Benefits || · No need for legal acts · Improve coordination and cooperation between Member States || · Create market opportunities for compliant operators · Applicable to a wide scope of species · Better involvement of stakeholders || · Provide practical tools for compliance and improve accessibility of knowledge (locally based) · Improve coordination of research and education between Member States · Improve visibility of science based solutions · Possibly applicable to a wide range of species || · Reach all operators (compulsory) · Provide flexibility for compliance and open to innovation Costs || · Limited in its scope and power · Additional resources needed to be effective · Not very efficient in addressing management related problems · No market incentives || · Do not reach non compliant operators (voluntary) · Costs to promote the system · Need a legal act (no quick effect) || · Costs for co-funding centres. · Need a legal act (no quick effect) || · Costs for operators in training Potentially administratively burdensome Need a legal act (no quick effect)
Comparing the options in terms of
effectiveness
Effectiveness is the extent to which the
options achieve the objectives. In comparing the options, all achieve positive
but complementary results as they have each been designed to address a specific
objective. Table 2: Comparison of Options Objectives || Option 1 || Option 2 || Option 3 || Option 4 Effectiveness || 0 || + || + || + Efficiency || +/- || +/- || ++ || + Coherence with EU objectives || + || + || + || + Considering Objective 1 (improve enforcement), all options have a positive impacts but the
most successful are Options 1 and 4. Option 4 is more likely to have a better
enforcement effect because it directly affects business operators. It will
certainly take much longer to have an effect but the impacts will be much
deeper and long lasting. Option 1 will be addressed mainly to the competent
authorities and will be more dependant on the willingness/ and the resources of
the Member States to translate enforcement into practice. On Objective 1, Options 2 and 3 will be less
effective as they do not create any obligation. However, Option 3 is expected
to work better on enforcement as it will provide practical assistance to the
competent authorities and stakeholders. The overall ranking for Objective 1 is expected
to be Option 4, Option 1, Option 3 and Option 2. Considering Objective 2 (provide for open and fair competition), Only Options 2 and 3 are
expected to have a positive effect. Option 1 is neutral and Option 4 is likely
to have increased compliance costs, hence negative effects on competitiveness.
Option 4 may have also positive effects on competitiveness through more
qualified staff and reduce some negative costs but we assume that costs will
remain significant. If Option 2 appears to be the most effective tools to
provide for open and fair competition, Option 3 can work in a complementary way
as a European network of reference centres could be an appropriate technical
instrument for preparing EU benchmarks. This network, if combined with
increased funding for research, could stimulate innovation and therefore also
boost the competitiveness of EU producers in this field. The overall ranking for Objective 2 is expected
to be Option 2, Option 3, Option 1 and Option 4. Considering Objective 3 (improve knowledge), all options have a positive effect in
improving knowledge. Option 4, by introducing compulsory requirement on
competence and introducing the possibility of using animal welfare indicators
for compliance, is the most efficient to reach this objective. It addresses
knowledge but also increases the sense of responsibility of operators. It
covers all operators concerned (it is compulsory). Option 3 contributes to
better direct knowledge as it includes research and dissemination of research
to stakeholders. Option 1, provides knowledge to a certain extent (mainly to
the competent authorities but possibly to operators through guidelines) but no
greater sense of responsibility. Option 2 creates a higher sense of
responsibility due to the voluntary nature of the measure but not much
knowledge to operators who would need the most. The overall ranking for Objective 3 is expected
to be Option 4 – 3 - 1 and 2. Considering Objective 4 (to improve coherence across animal species), none of the options
is expected to address the issue significantly. Only Option 4+ (consider
extending the scope of Option 4) could contribute to achieve Objective 4
directly. However other options could have positive effects in addressing
welfare problems of certain species. Option 2 will allow business operators to
develop market opportunities for species not covered by EU rules. Option 1 will
provide EU guidelines for the implementation of the recommendations of the
Council of Europe. Option 3 will provide technical assistance and training on
other species. A clear ranking is difficult to establish here.
Option 4+ is expected to be first, followed by Option 2, Option 1 and Option 3.
Option 4 alone is expected to have no effect in addressing Objective 4. Overall, the options complement each other. Option
4 is powerful in addressing important objectives because it creates obligations
for all operators concerned. However it brings compliance costs that may
affect competitiveness. It does not address one of the main drivers, which is
the market failure to reward operators who comply or apply stricter welfare
standards. A combination of Option 2 and 3 would much better address this
aspect and are mutually supportive.
6.1.
Comparing the options in terms of efficiency
Efficiency is the extent to which objectives
can be achieved at the lowest cost. Option 2 is expected to be the most affordable
option as the cost is mainly due to the communication activities to consumers
and international activities attached to this option. The limitation is that
this option alone mainly addresses only one of the drivers of the problems
identified. Option 1 is also relatively limited in its
impact on the EU budget but may be more difficult to implement if it requires
additional human resources. Option 1 is also relatively limited in its global
impact as it is mainly directed to the Member States' competent authorities. It
will not reach operators in the same way as Option 4 or 3. Option 3 is more costly but has a broad range
of positive effects. It positively affects all the different problems
identified and could represent the most efficient option. Option 4 has no implication on the EU budget
but is expected to have significant costs for business operators. These costs
are probably overestimated since our calculation does not take into account the
possible economic benefits deriving from better competence on animal welfare.
In addition it does not consider the cost reduction due to possible subsidies.
The costs could also be mitigated with a longer transition period (e.g. six
years instead of three). However, even taking those factors into account,
Option 4 has much higher costs than any of the other options. Those costs could
be cancelled if the requirement for competence was not extended to the laying
hens and calves sector. In the overall Option 3 appears to be the
most cost efficient option as it contains a good compromise between
relatively moderate costs and a broad range of effects on the main drivers
identified.
6.2.
Comparing the options in terms of coherence
Coherence is the extent to which options are
coherent with the overarching objectives of EU policies and the extent to which
they are likely to limit trade-off across the economic, social and
environmental domain. None of the options considered seems to be in
conflict with general EU objectives. The evaluation (see evaluation Question 9)
concluded that the various components of the EU animal welfare policy are
broadly complementary, mutually supportive and consistent, avoiding major
conflicts with other EU policies such as competitiveness, trade and the
environment. This impact assessment finds no evidence that
the options under consideration would be radically different in this regard.
6.3.
Preferred option
A comparison of the options indicates that
there is no single option that is able to address all problems effectively and
efficiently. Options 2 and 3 are mutually complementary with
reasonable costs. They do not address Objective 4 (to improve coherence across
animal species) in a significant manner and they are weak on Objective 1
(improving enforcement). However, Option 2 would risk blurring the line between
official requirements and private schemes, and it would equally risk limiting
the dynamic element of such private initiative. Existing tools should be used
for enhancing the reliability and transparency of information available to
consumers. The preferred option will therefore be a policy
mix, including some of the components of several options. Such a policy mix will consist of the following
specific measures: 1. To explore the possibility of a simplified EU
legislative framework that will include: –
a framework to improve transparency and adequacy
of information to consumers on animal welfare, –
the establishment of a network of reference
centres, –
the integration of requirement for competence in
a single text (with a transitional period to decrease compliance costs), –
the possibility to use outcome based animal
welfare indicators. 2. Develop tools for strengthening Member
States' compliance with EU rules; 3. Support international cooperation; 4. Provide consumers and the public with
appropriate information; 5. Investigate on the welfare of animals not
covered by specific EU rules. A consolidate estimate of the additional annual
costs of the preferred option for the EU budget could be as follows: 1. Costs for strengthening Member States'
compliance: +400.000 euros 2. Costs for international cooperation:
+100.000 euros 3. Costs for communication to consumers:
+450.000 euros 4. Costs of specific studies: within the
existing budget allocated. Total additional annual costs: +950.000 euros.
7.
Monitoring and evaluation
The evaluation has shown that there is no
single system for regularly monitoring progress on achieving the general
objective of the animal welfare strategy. However, a number of elements are
already in place that could provide useful monitoring tools for the future. EU Member States are legally obliged to send
the Commission annual data on the number of inspections carried out and the
number of infringements detected. This is the case for all farmed animals[123]. Member States are not
required to report on their inspections of animals at the time of killing or of
animals in zoos. The revised Directive on the protection of experimental
animals introduced a general requirement to report on its implementation, and
this specifically requires Member States to report on their national
inspections. DG SANCO is currently working with EUROSTAT to
refine the data and indicators for official checks on farm animals. Some data
already exists and has been identified. The level of enforcement in the Member States
is also assessed through regular visits by Food and Veterinary Office (FVO)[124] experts. These FVO
inspections essentially assess how effectively the animal welfare legislation
applicable to farm animals in the EU is being enforced. There is at present no
comparable monitoring system for the EU legislation on zoo animals. The number of ongoing complaints[125] addressed to the Commission
and the number of infringement proceedings initiated by the Commission are also
possible indicators of the situation. Indicators such as those identified in Annex 5A
could also be monitored. This impact assessment was preceded by an
evaluation of the EU’s animal welfare policy over a period that included the
previous Community Action Plan for the Protection and Welfare of animals
(2006-2011). The present impact assessment aims to establish an EU strategy for
animal welfare for the period 2011-2015. It therefore seems appropriate to plan
another evaluation at the end of the strategy period (2016). Annex 1-
Glossary of technical terms and abbreviations AAALAC || Association for Assessment and Accreditation of Laboratory Animal Care ASOPROVAC/ ANCOPORC || Spanish Beef and pig farmers organisation AMMPA || Alliance of Marine Mammals Parks and Aquariums AVEC || Association of Poultry Processors and Poultry Trade in the EU countries BTSF || Better Training for Safer Food A European Commission training initiative covering food and feed law, animal health and welfare and plant health rules. It trains Member State and candidate country national authority staff involved in official controls in these areas, cf. http://ec.europa.eu/food/training_strategy/index_en.htm BIPA || Baltic Petfood Industry Association CA || Competent Authority CAP || Common Agricultural Policy CIWF || Compassion In World Farming. Farm animal welfare charity. CLITRAVI || Liaison Centre for the Meat Processing Industry in the European Union COPA-COGECA || European farmer and agri-cooperatives organisation C-PAW || EC Policy on Animal Welfare. Replaced by EUPAW (see below) after the entry into force of the TFEU (see below), which replaced the European Community by the European Union. CSR || Corporate Social Responsibility: "A concept whereby companies integrate social and environmental concerns in their business operations and in their interaction with their stakeholders on a voluntary basis", cf. http://ec.europa.eu/enterprise/policies/sustainable-business/corporate-social-responsibility/index_en.htm CVO || Chief Veterinary Officers DEFRA || Department for Environment, Food and Rural Affairs, United Kingdom Duty of care || Requirement that makes owners and keepers responsible for ensuring that the welfare needs of their animals are met EAAM || European Association for Aquatic Mammals EAWP || European Animal Welfare Platform EAZA || European Association of Zoos and Aquaria ECA || European Circus Association EFBA || European Fur Breeders' Association EFFAB || European Forum of Farm Animal Breeders EFN || European Farmers' Network EFPIA || European Federation of Pharmaceutical Industries and Associations EFSA || European Food Safety Authority ENRC || European Network of Reference Centres for Animal Welfare. One of the possible measures envisaged by the Commission within the framework of a new animal welfare law EPAA || European Partnership for Alternative Approaches to Animal Testing ERA-Net || European Commission's Coordination of Research Activities scheme EUPAW || EU Policy on Animal Welfare Eurobarometer || Public opinion analysis service of the European Commission EUROSTAT || The statistical office of the European Union The evaluation || Evaluation of the EU Policy on Animal Welfare and Possible Policy Options for the Future, submitted by GHK Consulting on 22 December 2010, mandated by the European Commission, see http://eupaw.eu/ FAO || Food and Agriculture Organisation FEAP || Federation of European Aquaculture Producers FEDIAF || European Pet Food Industry Federation FESASS || European Federation for Animal Health and Sanitary Security Five Freedoms || Freedom from Hunger and Thirst, Freedom from Discomfort, Freedom from Pain, Injury or Disease, Freedom to Express Normal Behaviour, Freedom from Fear and Distress FTE || Full time equivalent FVE || Federation of Veterinarians of Europe FP6 || Sixth Framework Programme for Research and Technological Development. The EU's main instrument for funding research in Europe for the period 2002-2006. Includes, i.a., the Welfare Quality Project (see below). FP7 || Seventh Framework Programme for Research and Technological Development. The EU's main instrument for funding research in Europe for the period 2007-2013, cf. http://ec.europa.eu/research/fp7/index_en.cfm?pg=understanding FVO || Food and Veterinary Office HSI || Humane Society International IFAW || International Fund for Animal Welfare IVH || Industrieverband Heimtierbedarf JRC || The European Commission’s Joint Research Centre LRF || Federation of Swedish Farmers LS || The European Commission’s Legal Service MERCOSUR || Southern American Common Market MEP || Member of the European Parliament NGO || Non-Governmental Organisation OIE || World Organisation for Animal Health Public Procurement || The process whereby public authorities - including all levels of government and public agencies - buy goods and services or commission work, cf. http://ec.europa.eu/youreurope/business/profiting-from-eu-market/benefiting-from-public-contracts/index_en.htm RSPCA || Royal Society for the Prevention of Cruelty to Animals SG || European Commission Secretariat-General TFEU || Treaty of the Functioning of the European Union (the Treaty) UECBV || The European Livestock And Meat Trading Union UK NFU || National Farmers Union, UK Welfare Quality Project || Welfare Quality®: Science and society improving animal welfare in the food quality chain. EU funded project FOOD-CT-2004-506508, included in FP6 (se above), cf.: http://www.welfarequality.net/everyone/26536/5/0/22 RSPCA || Royal Society for the Prevention of Cruelty to Animals. UK animal welfare charity. WHW || World Horse Welfare WSPA || World Society for the Protection of Animals WTO || World Trade Organisation 3Rs || Reduction, Refinement and Replacement. An ethical framework for conducting scientific experiments using animals humanely 2006 Action Plan || Community Action Plan on the Protection and Welfare of Animals 2006-2010 (COM(2006)13 final) Annex 2- EU
key policy principles 2A -
Definition of animal welfare and guiding principles Animal welfare is defined in the
international terrestrial animal health code of the World Organisation for
Animal Health (OIE) see: http://www.oie.int/index.php?id=169&L=0&htmfile=chapitre_1.7.1.htm
Chapter 7.1. Introduction to the recommendations for animal
welfare Article 7.1.1. Animal welfare means
how an animal is coping with
the conditions in which it lives. An animal is in a good
state of welfare if (as
indicated by scientific evidence) it is healthy, comfortable, well nourished,
safe, able to express innate behaviour, and if it is not suffering from
unpleasant states such as pain, fear, and distress. Good animal welfare
requires disease prevention and
veterinary treatment, appropriate shelter, management, nutrition, humane
handling and humane slaughter/killing. Animal welfare refers
to the state of the animal; the treatment
that an animal receives is
covered by other terms such as animal care, animal husbandry, and humane
treatment. Article 7.1.2. Guiding principles for animal welfare
That there is a critical relationship
between animal health and animal welfare.
That the internationally recognized ‘five
freedoms’ (freedom from hunger, thirst and malnutrition; freedom from fear
and distress; freedom from physical and thermal discomfort; freedom from
pain, injury and disease; and
freedom to express normal patterns of behaviour) provide valuable guidance
in animal welfare.
That the internationally recognized ‘three
Rs’ (replacement of animals with
non-animal techniques, reduction in numbers of animals and
refinement of experimental methods) provide valuable guidance for the use
of animals in
science.
That the scientific assessment of animal welfare
involves diverse elements which need to be considered together, and that
selecting and weighing these elements often involves value-based
assumptions which should be made as explicit as possible.
That the use of animals in
agriculture and science, and for companionship, recreation and
entertainment, makes a major contribution to the wellbeing of people.
That the use of animals carries
with it an ethical responsibility to ensure the welfare of such animals to the
greatest extent practicable.
That improvements in farm animal welfare
can often improve productivity and food safety, and hence lead to economic
benefits.
That equivalent outcomes based on
performance criteria, rather than identical systems based on design
criteria, be the basis for comparison of animal welfare
standards and recommendations.
Article 7.1.3. Scientific basis for recommendations
Welfare is a
broad term which includes the many elements that contribute to an animal’s quality
of life, including those referred to in the ‘five freedoms’ listed above.
The scientific assessment of animal welfare
has progressed rapidly in recent years and forms the basis of these
recommendations.
Some measures of animal welfare
involve assessing the degree of impaired functioning associated with
injury, disease, and
malnutrition. Other measures provide information on animals’ needs
and affective states such as hunger, pain and fear, often by measuring the
strength of animals’
preferences, motivations and aversions. Others assess the physiological,
behavioural and immunological changes or effects that animals show in
response to various challenges.
Such measures can lead to criteria and
indicators that help to evaluate how different methods of managing animals influence
their welfare.
2B - Current EU
legislation on animal welfare 1.1 Legislation
on the welfare of farmed animals (7 directives or regulations) Legislation on the
protection of farm animals covers all the different steps of production from
farming itself, to transport and killing. Farming activities are
subject to EU legislation through a general umbrella directive (Directive
98/58/EC) providing general principles applicable to all species and referring
to the European Convention on the protection of animals kept for farming
purposes. Farming activities are
also subject to specific directives respectively on the protection of calves
(Directive 91/629/EEC recasted 2008/119), pigs (Directive 91/630/EEC recasted
2008/120), laying hens (Directive 1999/74/EC) and chickens for meat production
(Directive 2007/43/EC). In all cases each directive has progressively phased
out the most inhumane methods of production (individual pens for calves,
individual stalls for breeding sows and bare cages for laying hens). They also
emphasise specific provisions in relation to space allowances as well as more
aspects on the management of the animals. Legislation on the
protection of animals during transport has been subject to a recent revision
(Regulation (EC) No 1/2005) which contains detailed provisions for the main
farm species on travelling times, space allowances, fitness for transport,
vehicles standards and drivers’ competence. The regulation also includes a
number of administrative procedures for allowing proper checks by the competent
authorities. Legislation on the
protection of animals at the time of slaughter or killing (Directive 93/119/EC)
contains standards for slaughterhouses as well as provisions in case of killing
outside slaughterhouses (disease control, fur animals, etc.). This text will be
replaced in 2013 by the application of Council Regulation (EC) No 1099/2009. It should also be
mentioned that there are several EU acts of the Common Agricultural Policy that
refer to welfare standards of farm animals. Two of these acts referred to the
compliance for minimum standards laid down in the legislation (cross-compliance
and export refunds regulations) while two others provide incentive for farmers
in applying stricter standards (rural development and organic farming
regulations). 1.2 Legislation
on the welfare of experimental animals (1 directive) Directive 86/609/EEC
aims at harmonising national provisions covering the welfare of animals used
for experimental and scientific purposes. This Directive went through a
comprehensive revision and the new Directive (2010/63/EU) entered into force on
10 November 2010. It requires that projects using animals are subject to
authorisation and a systematic, compulsory project (ethical) evaluation. The
scope of the directive is enlarged covering new groups/life forms/uses of
animals and now also includes specific invertebrate species (cephalopods),
mammalian foetuses from the last trimester of their development, as well as
animals used for the purposes of basic research, education and training. It
also sets housing and care standards, risk management based inspections,
tighter rules for the use and care of non-human primates and introduces a ban
on the use of great apes in scientific procedures. The Directive also requires
the further development, validation of alternative approaches and the creation
of Union Reference Laboratory (JRC ECVAM). Finally, the concept of the 'Three
Rs' (Replacement, Reduction and Refinement of animal use) is firmly entrenched in
the new Directive. The Directive will take full effect on 1.1.2013. 1.3 Legislation
on the welfare of pet animals (1 regulation) The welfare of pet
animals is not subject to Community legislation as such. However, Regulation
(EC) No 1523/2007 aims at to ban the import, export and
sale of cat and dog fur in the EU. The proposal was drawn up in response to
strong demands from EU citizens, as well as politicians, who asked for measures
to be taken to prevent cat and dog fur being sold in the EU. 1.4 Legislation
on the welfare of wild animals (3 directives or regulations) Directive 1999/22/EC relating to the keeping of wild animals in zoos was adopted with the
objective to promote wild animal species protection and conservation by
strengthening the role of zoos in the conservation of biodiversity. The
directive contains requirements for adequate accommodation facilities, species
specific enrichments aiming to satisfy biological and behavioural needs, a high
standard of animal husbandry, the training of staff, contributions to research
or conservation activities and the education of the visiting public. Council Regulation
(EEC) No 3254/91 of 4 November 1991[126]
which prohibits both the use of leg-hold traps in the Community and the
introduction into the Community of pelts and manufactured goods of certain wild
animal species originating in countries which catch them by means of leg-hold
traps or trapping methods which do not meet international humane trapping
standards. Council Decision 98/142/EC of 26 January 1998 concerns the conclusion of an Agreement on international humane trapping
standards between the European Community, Canada and the Russian Federation and
of an Agreed Minute between Canada and the European Community concerning the
signing of said Agreement[127]. On 16 September 2009,
the European Parliament and the Council adopted Regulation (EC)
No 1007/2009 banning the introduction on the EU market of seal products
that do not originate from Inuit or Indigenous hunts, subject to minor
exceptions. Further detailed rules are specified in the implementing Regulation
(EU) No 737/2010 that the Commission adopted on 10 August 2010. In addition,
the Commission adopted on 29 December 2010 a technical guidance note setting
out an indicative list of the codes of the combined nomenclature that may cover
prohibited seal products. This list is intended to facilitate the enforcement
of the trade ban. It is to be noted that
there is already legislation in place since 1983 prohibiting the import of seal
pup products from certain seal species (harp and hooded seals) into the EU.
This Directive 83/129/EEC has been
put in place in response to widespread concerns about the population status of
these species in the beginning of the 1980's. 2C - List of
the recommendations of the European convention on the protection of animals
kept for farming purposes Directive 98/58/EC has been adopted to reflect
the European convention on the protection of animals kept for farming purposes.
The EU has concluded this convention through Council Decision of 19 June 1978
concerning the conclusion of the European Convention for the protection of
animals kept for farming purposes (OJ L 323, 17.11.1978 p. 12). The
recommendations contain some binding provisions ("shall") or
recommended practices ("should"). ·
Recommendation
concerning farmed fish (adopted by the T-AP on 5 December 2005, entry into
force on 5 June 2006) ·
Recommendation
concerning Pigs (adopted by the T-AP on 2 December 2004, entry into force on 2
June 2005) (Replacing the
previous Recommendation
adopted on 21 November 1986) ·
Recommendation
concerning Turkeys (adopted by the T-AP on 21 June 2001) ·
Recommendation
concerning Fur Animals (adopted by the T-AP on 22 June 1999) (Replacing the previous Recommendation adopted on 19
October 1990) ·
Recommendation
concerning Muscovy Ducks and hybrids of Muscovy and domestic Ducks (adopted by
the T-AP on 22 June 1999) ·
Recommendation
concerning domestic Geese (adopted by the T-AP on 22 June 1999) ·
Recommendation
concerning domestic Ducks (adopted by the T-AP on 22 June 1999) ·
Recommendation
concerning Ratites (adopted by the T-AP on 22 April 1997) ·
Recommendation
concerning Domestic Fowl (gallus gallus) (adopted by the T-AP on 28 November
1995) (Replacing Recommendation of 1986
concerning the poultry of the species Gallus gallus kept to produce
eggs) ·
Appendix C to
Recommendation concerning Cattle: special provisions for Calves (adopted by the
T-AP on 8 June 1993) ·
Recommendation
concerning Goats (adopted by the T-AP on 6 November 1992) ·
Recommendation
concerning Sheep (adopted by the T-AP on 6 November 1992) ·
Recommendation
concerning Cattle (adopted by the T-AP on 21 October 1988) 2 D - Five
areas of actions of the Community Action Plan on the Protection and Welfare of
Animals 2006-2010 (COM(2006)13final) 1. Upgrading existing minimum standards for animal
protection and welfare in line with new scientific evidence and socio-economic
assessments as well as possibly elaborating specific minimum standards for
species or issues that are not currently addressed in EU legislation. A
particular priority will be designing EU rules in order to secure efficient
enforcement and to take account of rules governing international trade. 2. Giving
a high priority to promoting policy-orientated future research on animal
protection and welfare and application of the 3Rs principle: in order to respect the obligations
under the EC Treaty Protocol to pay full regard to the welfare of animals in
formulating and implementing these policies in parallel with enhancing the
development, validation, implementation and monitoring of alternative
approaches to animal testing. 3. Introducing
standardised animal welfare indicators: to classify the hierarchy of welfare
standards applied (from minimum to higher standards) in order to assist the
development of improved animal welfare production and Upgrading existing minimum
standards for animal protection and welfare in line with new scientific evidence and
socio-economic assessments as well as possibly elaborating specific minimum
standards for species or issues that are not currently addressed in EU
legislation. A particular priority will be designing EU rules in order to
secure efficient enforcement and to take account of rules governing
international trade. 4. Ensuring
that animal keepers/ handlers as well as the general public are more involved
and informed on current standards of animal protection and welfare and fully
appreciate their role in promoting animal protection and welfare. In respect of farm animals for
example this could include working with retailers and producers to facilitate
improved consumer trust and awareness of current farming practices and thus
more informed purchasing decisions, as well as developing common initiatives in
the field of animal welfare to facilitate the exchange of information and the
application of best practices. 5. Continue
to support and initiate further international initiatives to raise awareness
and create a greater consensus on animal welfare, including engaging with Developing
Countries to explore trade opportunities based on welfare friendly production
systems. The Community should also actively identify trans-boundary problems in
the area of animal welfare, relating to companion or farm animals, wildlife
etc., and develop a mechanism to tackle them in a more timely, efficient and
consistent manner. 2E – The
European Parliament resolution on evaluation and assessment of the Animal
Welfare Action Plan 2006-2010 The resolution
considers that the "the vast majority of the measures contained
in the current action plan have been implemented satisfactorily".
However the resolution points out that EU farmers have overall not benefited
from their efforts and stresses that non-trade concerns such as animal welfare
should be better promoted at WTO level, while at the same time acknowledging
that the EU should proceed with special care in order to
avoid the criticism of hidden trade protectionism, given the sensitivity of the
issue particularly among developing countries. It also regrets the
lack of a clear communication strategy on the value of products complying with
EU animal welfare standards. The resolution also
recognises the need for better enforcement of existing EU rules in
particular regarding zoo animals, animal transport, pig directive, and the
future ban on cages for laying hens. It stresses the need for focusing on
enforcement rather than drafting new legislation. Such enforcement should rely
on effective penalties for non-compliance in all Member States. The resolution calls
for a new action plan for 2011-2015 with an appropriate budget
applicable to all animals. This future action plan should ensure sustainability
for EU producers as well as consistency with other major EU policies and in
particular those for the internal market, environment, food safety and animal
health. The resolution also
calls on the Commission to submit not later than 2014 a general animal
welfare law. This law would include the general principles applicable to
all animal owners. However Member States would keep the possibility to allow
producers to apply voluntary systems with higher welfare standards. The resolution
also calls for compensation for EU farmers in applying higher animal
welfare standards as part of the new common agriculture support scheme from
2013 onwards. The resolution in
addition calls for the establishment of a European Network of Reference Centres
(ENRC) set up under the existing European or Member State institutions so to
assist the different partners on training, best practices, information to
consumers, assessing legislative proposals and testing techniques. The network
should designate one institution acting as "central coordination
institute" to avoid duplication with existing structures. The resolution also
asks the EU to assess the costs for EU producers of the current rules and to
propose in 2012 measures to tackle their loss of competitiveness. The resolution
underlines that efforts should be made to promote animal welfare through
education and that the EU budget should include sufficient appropriations to
enable the Commission to perform its monitoring tasks and support EU producers
affected. The resolution also calls for further development and financial
investment for research, new technologies and techniques in the field of animal
welfare. 2F – Scope
and questions of the evaluation The objectives of the
evaluation was first, to analyse the results of the previous EU policy on
animal welfare (from 2000) and, second, to establish if changes would be
needed, indicating possible improvements to its scope, structure and working
practices. Scope and evaluation issues The evaluation was defined
on a grid made of two dimensions. One concerning the type of animals (farm
animals, experimental animals, pet animals and wild animals) and secondly the
type of EU actions envisaged (legislation, research, communication and
international initiatives). The evaluation
questions Q1: To what extent has
Community animal welfare legislation achieved its main objective i.e. to
improve the welfare conditions of animals within the EU? Q2: To what extent has
Community legislation on the protection of animals ensured proper functioning
of the single market for the activities concerned? Q3: To what extent has
Community funding for research and scientific advice on animal welfare
contributed to science based Community initiatives in the field of legislation,
communication and for international initiatives? Q4: To what extent have
Community actions of communication to stakeholders and the public contributed
to raise their awareness and responsibility towards animal welfare? Q5: To what extent have
Community international initiatives on animal welfare contributed to raising
awareness and creating a shared understanding on animal welfare issues and
standards at world level? Q6: To what extent have
Community international initiatives on animal welfare contributed to establishing
equivalent market conditions between EU businesses and businesses from third
countries exporting to the EU? Q7: To what extent are the
present financial instruments and the financial resources at EU level adapted
to the needs of the C-PAW? Would it be necessary to establish specific
financial instruments and/or dedicated resources to Community initiatives
related to animal welfare? Q8: To what extent does the
C-PAW address the needs of stakeholders and the EU citizens? Which areas need changes
concerning objectives, scope, management systems or processes? What kind of
changes? Q9: To what extent does the
intervention logic, objectives and activities linked to the C-PAW support or
possibly conflict with those of other EU policies To what extent are the
elements of C-PAW intervention logic internally complementary, mutually
supportive and consistent? How successful has C-PAW
been in promoting the necessary coherence and complementarity between the
different EU policies in collaboration with the Commission and Member States? Q10: To what extent do animal
welfare policies contribute to the economic sustainability of the sectors
concerned (farming animals and experimental animals) ? Q11: What costs are involved in
the management of the C-PAW for the Member States' public administrations? 2G – Key
messages of the evaluation Evaluation of the EU
Policy on Animal Welfare (EUPAW) and Possible Options for the Future The evaluation was
commissioned by the Directorate General for Health and Consumers (DG SANCO) of
the European Commission and aimed to provide an independent evaluation of the
EUPAW and an assessment of the possible options for the future. The key
messages from the evaluation are as follows: 1.
Targeted EU animal welfare legislation has improved the welfare of many of
Europe’s farm and experimental animals, but more could be achieved with
stronger and more consistent enforcement of existing rules. By extending the
scope of EU welfare legislation, other groups of animals could benefit from
higher welfare standards. 2.
EU legislation to protect animals has, in general, helped to reduce competitive
distortions in the internal market caused by differences in national standards,
but in certain areas further action on enforcement and harmonisation is
required. 3.
EU funding for research and scientific advice on animal welfare, totalling
about €15 million annually, has made a positive contribution to policy. Most
funding has been for farm animals and the development of techniques to
facilitate the replacement of in vivo animal testing. 4.
The extent to which EU communication actions have raised stakeholder and public
awareness and responsibility towards animal welfare is unclear. To maximise the
impact of the limited resources available, a clear communications strategy and
stronger monitoring and evaluation are needed. 5.
The EU’s international initiatives have helped to raise awareness and create a
shared international understanding of animal welfare issues and standards,
particularly with trading partners in markets for food products, but there is
much more to do. 6.
The establishment of equivalent market conditions between EU businesses and
those from third countries exporting to the EU is a long term project on which
the Commission has been working via bilateral and multilateral channels.
Foundations are being laid but there is more to do. 7.
The financial resources and instruments at EU level have grown to meet the
increasing resource needs of the EUPAW, though there is a need for further
growth in funding as the policy continues to develop in the years ahead. 8.
EU animal welfare policy appears to have succeeded in striking a balance
between the varied needs and expectations of citizens, industry and other
groups on an issue for which ambitions differ across Europe. There are
widespread calls for more consistent enforcement but less appetite for a new
wave of standards, suggesting an agenda defined by evolution rather than
revolution for the next few years. 9.
The various components of EU animal welfare policy are broadly complementary,
mutually support and consistent, and have (thus far) avoided major conflict
with other EU policies, such as on competitiveness, trade and the environment. 10.
EU welfare standards have imposed additional costs on the livestock and
experimental sectors, estimated at around 2% of the overall value of livestock
output and a similar proportion of the annual costs of experiments using
animals. There is no evidence that this has so far threatened the economic
sustainability of these sectors. 11.
Management of the EUPAW costs the Member States’ public administrations an
estimated total of around €105 million a year, with about €53 million on farm
inspections, about €0.5 million for regulating welfare of experimental animals
and about €13 million for administrative costs. The
report makes specific recommendations regarding priorities for future EU
action, under each of the 11 main evaluation themes listed above. 2 H –
Summary of the discussion of the Commission report on Animal welfare labelling
at the European Parliament, the Council and other EU institutions The Commission adopted
in October 2009 a Report in which it outlines a series of options for animal
welfare labelling: http://ec.europa.eu/food/animal/welfare/farm/labelling_en.htm The EU Agriculture
and Fisheries Council held an exchange of views on the Commission Report on
22 February 2010. Ministers in general agreed that information about animal
welfare in livestock production could enable consumers to make informed
purchasing decisions and help EU farmers to obtain the desired recompense for
their efforts. Press Release of the
meeting: http://www.consilium.europa.eu/uedocs/cms_data/docs/pressdata/en/agricult/113353.pdf The European
Parliament discussed animal welfare labelling in relation to its Report on
evaluation and assessment of the Animal Welfare Action Plan 2006-2010 (http://www.europarl.europa.eu/sides/getDoc.do?pubRef=-//EP//TEXT+REPORT+A7-2010-0053+0+DOC+XML+V0//EN&language=EN)
(rapporteur Marit Paulsen). The conclusions regarding labelling in the Paulsen
Report are that the European Parliament: 31. Welcomes the
debate concerning various possible animal welfare labelling schemes in the
aforementioned Commission communication of 28 October 2009; recalls, however,
the need to consider them in a wider context, taking account, in particular, of
the various existing environmental, nutritional and climate labelling schemes;
stresses that information on the subject for European consumers absolutely must
have a sound and consensual scientific basis and be clear to consumers; 32. Recommends that
the information given on the label should be precise and direct and should make
reference to compliance with the high animal welfare standards demanded by the
EU; maintains that it should be the task of the Commission to provide citizens
with the necessary information on the European animal welfare system, so to
ensure that they receive objective information. The Section for
Agriculture, Rural Development and the Environment of the European Economic and
Social Committee (EESC) set up a working group to discuss the Commission
Report, and adopted an opinion in May: http://eescopinions.eesc.europa.eu/EESCopinionDocument.aspx?identifier=ces\nat\nat458\ces765-2010_ac.doc&language=EN. In its opinion, the
Committee concludes that a labelling scheme is needed that gives consumers
objective information to enable them to choose animal products that exceed EU
minimum animal welfare requirements. The labelling should provide an
identifiable guarantee based on reliable information that consumers can readily
understand. Furthermore, the EESC backs the establishment of a European network
to continue the work of the Welfare Quality project. 2I – Council
conclusions on the welfare of dogs and cats Considering that: –
Article 13 of the Treaty on the Functioning of
the European Union, having general application, states that - since animals are
sentient beings - the EU should pay full regard to the welfare requirements of
animals in formulating and implementing its relevant policies, while respecting
the legislative or administrative provisions and customs of the Member States
relating in particular to religious rites, cultural traditions and regional
heritage; –
to respond to citizens' concerns it is necessary
to plan appropriate actions at Member State and European level and ensure
suitable welfare conditions for dogs and cats; –
this topic is also addressed in other
international fora such as the OIE, the Council of Europe or in the framework
of the discussions on the Universal Declaration on Animal Welfare (UDAW); –
the breeding of and EU trade in dogs and cats
represent an economic activity within the European Union where business
operators need to work within a level playing field; Taking into account
that: –
large differences seem to exist between the
different national or regional rules on the welfare of dogs and cats within the
European Union; –
those differences may lead to unequal breeding
and marketing costs which could create animal welfare problems, zoonotic risks
and deception of the citizen due to the purchase of animals carrying possible
hidden diseases, including genetic defects and/or with irreversible behavioural
problems; –
those problems may have a negative impact on
primary objectives of the European Union such as the functioning of the
internal market, public health and consumer protection; Bearing in mind: –
the need for the European Union and the Member
States to limit the administrative burden; –
the relevant international obligations, in
particular concerning the trade in dogs and cats; –
the principles of subsidiarity and
proportionality; The Council of the
European Union calls upon the Commission, in the framework of the second EU
strategy for the protection and welfare of animals: –
to study the differences between the measures
taken by the Member States regarding the breeding of and EU trade in dogs and
cats and, if appropriate, to prepare policy options for the harmonisation of
the internal market; –
to study and propose, if justified, options for
facilitating compatible systems of identification and registration of dogs and
cats in order to ensure better guarantees to the citizen through more efficient
traceability of those animals. The options may take into account the need for
fast and precise investigation, particularly in the case of illegal trade and
zoonosis; –
to study and present, if justified, a specific
proposal to restrict, in the European Union, the exhibition at public events of
dogs and cats having undergone a non-curative surgical intervention (not aimed at preventing reproduction)
and the trade in these animals; –
to develop, if necessary and in coordination
with the Member States, appropriate actions to promote and support education
concerning responsible dog and cat ownership, as well to support national
information campaigns on the negative impact of non-curative surgical
interventions on the welfare of dogs and cats. 2J – List of
scientific opinions on the welfare of animals All farmed animals Cattle for beef production The welfare of cattle kept for beef production - Report of the SCAHAW (2001)[128] Dairy cows Report on Animal Welfare Aspects of the Use of Bovine Somatotrophin - Report of the SCAHAW (1999)[129] Scientific opinion on welfare of dairy cows in relation to metabolic and reproductive problems based on a risk assessment with special reference to the impact of housing, feeding, management and genetic selection (EFSA, 2009)[130] Scientific opinion on welfare of dairy cows in relation to leg and locomotion problems based on a risk assessment with special reference to the impact of housing, feeding, management and genetic selection (EFSA, 2009)[131] Scientific opinion on welfare of dairy cows in relation to behaviour, fear and pain based on a risk assessment with special reference to the impact of housing, feeding, management and genetic selection (EFSA, 2009)[132] Scientific opinion on welfare of dairy cows in relation to udder problems based on a risk assessment with special reference to the impact of housing, feeding, management and genetic selection (EFSA, 2009)[133] Scientific Opinion on the overall effects of farming systems on dairy cow welfare and disease (EFSA, 2009)[134] Scientific report on the effects of farming systems on dairy cow welfare and disease (EFSA, 2009)[135] Rabbits Opinion of the Scientific Panel on Animal Health and Welfare (AHAW) on a request from the Commission related to "The Impact of the current housing and husbandry systems on the health and welfare of farmed domestic rabbits." (EFSA, 2005)[136] Farmed fish Animal welfare aspects of husbandry systems for farmed Atlantic salmon - Scientific Opinion of the Panel on Animal Health and Welfare (EFSA, 2008)[137] Animal welfare aspects of husbandry systems for farmed trout - Scientific Opinion of the Panel on Animal Health and Welfare (EFSA, 2008)[138] Animal welfare aspects of husbandry systems for farmed fish - European eel - Scientific Opinion of the Panel on Animal Health and Welfare (EFSA, 2008)[139] Animal welfare aspects of husbandry systems for farmed European seabass and gilthead seabream - Scientific Opinion of the Panel (EFSA, 2008)[140] Animal welfare aspects of husbandry systems for farmed common carp (EFSA, 2008)[141] General approach to fish welfare and to the concept of sentience in fish (EFSA, 2009)[142] Species-specific welfare aspects of the main systems of stunning and killing of farmed fish: Rainbow Trout (EFSA, 2009)[143] Species-specific welfare aspects of the main systems of stunning and killing of farmed Eels (Anguilla Anguilla) (EFSA, 2009)[144] Species-specific welfare aspects of the main systems of stunning and killing of farmed Seabass and Seabream (EFSA, 2009)[145] Species-specific welfare aspects of the main systems of stunning and killing of farmed Atlantic Salmon (EFSA, 2009)[146] Species-specific welfare aspects of the main systems of stunning and killing of farmed Carp (EFSA, 2009)[147] Species-specific welfare aspects of the main systems of stunning and killing of farmed tuna (EFSA, 2009)[148] Species-specific welfare aspects of the main systems of stunning and killing of farmed turbot (EFSA, 2009)[149] Knowledge gaps and research needs for the welfare of farmed fish (EFSA, 2009)[150] Geese Report of the Scientific Committee on Animal Health and Animal Welfare on Welfare Aspects of the Production of Foie Gras in Ducks and Geese - Report of the SCAHAW (1998)[151] Scientific Opinion on the practice of harvesting (collecting) feathers from live geese for down production (EFSA, 2010)[152] Fur animals The Welfare of Animals kept for Fur Production - Report of the SCAHAW (2001)[153] Pigs The Welfare of Intensively Kept Pigs - Report of the Scientific Veterinary Committee (1997)[154] Opinion of the Scientific Panel on Animal Health and Welfare (AHAW) on a request from the Commission related to welfare aspects of the castration of piglets (EFSA, 2004)[155] Opinion of the Scientific Panel on Animal Health and Welfare (AHAW) on a request from the Commission related to welfare of weaners and rearing pigs: effects of different space allowances and floor (EFSA, 2005)[156] Opinion of the Scientific Panel on Animal Health and Welfare on a request from the Commission related to animal health and welfare in fattening pigs in relation to housing and husbandry (EFSA, 2007)[157] Animal health and welfare aspects of different housing and husbandry systems for adult breeding boars, pregnant, farrowing sows and unweaned piglets - Scientific Opinion of the Panel on Animal Health and Welfare (EFSA, 2007)[158] The risks associated with tail biting in pigs and possible means to reduce the need for tail docking considering the different housing and husbandry systems - Scientific Opinion of the Panel on Animal Health and Welfare (EFSA, 2007)[159] Laying hens Report from the Scientific Veterinary Committee, Animal Welfare Section on the Welfare of laying Hens (1996)[160] Opinion of the Scientific Panel on Animal Health and Welfare (AHAW) on a request from the Commission related to the welfare aspects of various systems of keeping laying hens (EFSA, 2005)[161] Calves Report on the Welfare of Calves - Report from the Scientific Veterinary Committee Animal Welfare Section (1995)[162] Opinion of the Scientific Panel on Animal Health and Welfare (AHAW) on a request from the Commission related with the risks of poor welfare in intensive calf farming systems (EFSA, 2006)[163] Broilers TheWelfare of Chickens Kept for Meat Production (Broilers) - Report of the SCAHAW (2000)[164] Scientific Opinion on welfare aspects of the management and housing of the grand-parent and parent stocks raised and kept for breeding purposes (EFSA, 2010)[165] Scientific Opinion on the influence of genetic parameters on the welfare and the resistance to stress of commercial broilers (EFSA, 2010)[166] Killing of animals Slaughter and killing of animals - Report from the Scientific Veterinary Committee Animal Welfare Section (1996)[167] The use of Mixtures of the Gases CO2, O2, and N2 for Stunning or Killing Poultry - Report of the SCAHAW (1998)[168] Opinion of the Scientific Panel on Animal Health and Welfare (AHAW) on a request from the Commission related to welfare aspects of the main systems of stunning and killing the main commercial species of animals (EFSA, 2004)[169] Opinion of the Scientific Panel on Animal Health and Welfare (AHAW) on a request from the Commission related with the welfare aspects of the main systems of stunning and killing applied to commercially farmed deer, goats, rabbits, ostriches, ducks, geese (EFSA, 2006)[170] Transport of animals Standards for the Microclimate inside Animal Transport Road Vehicles - Report of the SCAHAW (1999)[171] The welfare of animals during transport (details for horses, pigs, sheep and cattle) - Report of the SCAHAW (2002)[172] Opinion of the Scientific Panel on Animal Health and Welfare on a request from the Commission related to the welfare of animals during transport (EFSA, 2004)[173] Opinion of the Scientific Panel on Animal Health and Welfare (AHAW) on a request from the Commission related to standards for the microclimate inside animal road transport vehicles (EFSA, 2004)[174] Scientific Opinion Concerning the Welfare of Animals during Transport (EFSA, 2011)[175] Experimental animals The welfare of non-human primates used in research - Report of the SCAHAW (2002)[176] Opinion of the Scientific Panel on Animal Health and Welfare (AHAW) on a request from the Commission related to the aspects of the biology and welfare of animals used for experimental and other scientific purposes (EFSA, 2005)[177] Seals Animal Welfare aspects of the killing and skinning of seals - Scientific Opinion of the Panel on Animal Health and Welfare (EFSA, 2007)[178] 2K – List of
international standards and of EU international bilateral initiatives where
animal welfare is included List of international standards of the
World Organisation for Anima Health (OIE) The World Assembly of OIE Delegates has
adopted seven animal welfare standards in the Terrestrial Code and two
animal welfare standards in the OIE Aquatic Animal Health Standards Code
(Aquatic Code) as follows: ·
The
transport of animals by land ·
The
transport of animals by sea ·
The
transport of animals by air ·
The
slaughter of animals for human consumption ·
The killing
of animals for disease control purposes ·
The control
of stray dog populations ·
The use of
animals in research and education ·
The welfare
of farmed fish during transport ·
The welfare
aspects of stunning and killing of farmed fish for human consumption. Under
the 5th Strategic Plan (2011-2015) the OIE continues its work on priority
topics endorsed by Members. In particular, work is ongoing on the development
of animal welfare standards on: ·
Broiler Chicken Production Systems, ·
beef production systems ·
killing of farmed fish for disease control
purposes. List of EU-bilateral initiatives where
animal welfare is included Trade agreements with
third countries in Europe: ·
European Economic Area (Iceland, Norway) ·
Andorra ·
Switzerland Trade agreements
outside Europe: ·
Chile (2002) ·
Canada (2004) ·
Korea (2010) ·
Central America Costa Rica, El Salvador, Guatemala,
Honduras, Panama and Nicaragua) (2010) ·
Colombia and Peru (2010) Ongoing
negotiations with India, MERCOSUR (Brazil, Uruguay, Paraguay, Argentina,
Venezuela), Singapore, Malaysia and Ukraine Partnership and
Cooperation Agreements (including animal welfare): ·
Thailand ·
Vietnam Ongoing negotiation with the
Philippines, Malaysia, China, Vietnam, Brunei and Singapore. Cooperation Forums on
Animal Welfare: ·
New Zealand (2007) ·
Australia (2008) Other type of agreement (ongoing): Russia Annex 3 –
Consultation of stakeholders and Member States 3A – Stakeholders
contributions 1. Stakeholders'
meeting - Brussels, 31 January 2011 Summary: The meeting was well
attended by stakeholders from all sides. The European Parliament was
represented by Ms Paulsen who was present the whole meeting and intervened
during the debate (MEP who was the rapporteur on an EP resolution on the 2006
Action Plan). Representatives from third countries (New Zealand, Canada,
Australia.) that have developed cooperation with the Commission attended the
meeting. There was a wide
consensus on the problem definition as presented by the Commission (1.
Insufficient enforcement, 2. competitiveness of farmers, 3. lack of
communication to consumers and stakeholders, 4. need for more research and
extending the EU scope for animal welfare policies). Farmers'
organisations insisted on the economic costs and the risk of importations from
third countries. Animal welfare organisations stressed the need for a wider
scope, more education and communication to the public and stakeholders. The CAP
reform and the need to develop animal welfare in this context was also
highlighted by NGOs. All parties supported the need for better enforcement and
further scientific research. As regards the
policy options, most stakeholders considered that a policy mix would be
necessary. However depending on the problem to be addressed, different
solutions would be needed. Ms Paulsen strongly supported the option of a
framework law. Producers organisations were mostly in favour of improving
enforcement through non legislative tools while NGOs considered that new laws
would be necessary combined with more actions in non legislative tools. Detailed
positions: The external contractor
presented the results of the evaluation of the EU policy on animal welfare and
the corresponding recommendations. Then the Commission presented the options
foreseen for the impact assessment of the future strategy. All parties agreed that
several aspects related to animal welfare were essential: 1. To ensure proper
enforcement of the existing legislation; 2. To ensure the
competitiveness of EU farmers especially in regard to imports from third
countries; 3. To better coordinate
the initiatives with Member States, by proper definition and strategy setting
by the Commission; 4. To improve
communication to consumers and stakeholders; 5. To carry out more
research on animal welfare. Industry view: COPA-COGECA called for more flexibility in EU competition law as incentive for
farmers to take up more animal welfare within the co-regulation scenario. UECBV considered that we should focus on enforcement rather than
reflecting in developing new rules. AVEC also insisted on the need for a more uniform application of EU
rules and equivalency regarding third country imports. EFPIA was in favour of Option 3 (non-legislative option) and emphasized
the need to comply first with the newly adopted directive on experimental
animals, regarding the 3 R's in particular. CLITRAVI was in favour of Option 1 (the baseline scenario) or a policy mix
if additional costs for producers would be covered. ASOPROVAC-ANCOPORC was worried by the competitiveness of pig and beef industry and
third country imports. EFFAB considered that the Corporate Social Responsibility and the promotion
of good practices to be good options (non legislative option). They expressed
the need for a step-by-step strategy and a clear definition of objectives. They
did not support the idea of a specific institute for animal welfare. FESASS called for more explanation of animal welfare to consumers. The Swedish Farmers'
Association and the UK NFU called for better enforcement,
harmonisation of the internal market while keeping high animal welfare
standards. NFU did not favour new legislation. EFN was of the opinion that the tools existed but only needed to be
used and explained. EAZA considered that the zoo directive should be better implemented and
they favoured initiatives that could promote their guidelines. Breiz Europe supported the idea of a strategy to address international issues. In short, the need
for harmonisation was called for by the industry mainly, along with the need to
get equivalent standards for third country imports. Non-legislative measures
were preferred. NGOs' and
scientists' views HIS, Eurogroup for
Animals, IFAW, Born Free called for extension of EU
scope/new legislation (fish, dairy cows, wildlife, pets), Eurogroup also
supported the establishment of a Reference Centre. FVE, CIWF. Vier
Pfoten, IFAW, Animals' Angels, WSPA favoured a policy
mix (option D), and were worried about enforcement. They would support a
framework law but expressed concerns on the risks of having too general and
vague provisions. They did not wish to see existing legislation disappear. They
also wanted animal welfare issues to be better integrated in the context of the
revision of CAP. They also supported the concerns over the risks of
importations from third countries having lower standards. WSPA called for more education. University
representatives, FVE, Born Free and NGOs called for
proper objective setting and definitions in the area of animal welfare with an
in-field study on the level of actual animal welfare standards in the EU. Animal welfare NGOs
stressed the need for a wider scope, more detailed laws on dairy cows
especially, better definition and strategy setting, a proper animal welfare
analysis and improved consumer information. Other
institutions' views: MEP Marit Paulsen called for a general framework law to fight unfair competition on
the EU market and get international equivalence for third country imports. Ms
Paulsen declared that she proposed a framework law for animal welfare in its
report (adopted in May 2010) as it has been working well in the area of food
safety and producers should be better involved. FAO declared that they will send written comments. List of organisation
attending the meeting: ADT (German breeders
association) Animals' Angels (animal
welfare organisation) ASOPROVAC/ANCOPORC
(Spanish Beef and pig farmers organisation) Australian EU delegation AVEC (European poultry industry) Born Free (animal
welfare organisation – wild animals) Breiz Europe (French
Farmers organisation) BUAV (animal welfare
organisation – experimental animals) Canadian EU delegation CIWF (animal welfare
organisation – farm animals) CLITRAVI (European food
processing industry) COLIPA (European
cosmetic industry) COPA-COGECA (European
farmers organisation) EAZA (European zoo and
aquaria association) EFBA (European fur
breeders association) EFFAB (Europan breeders
association) EFPIA (European
pharmaceutical industry) EFSA (European Food
Safety Authority) EPO (European Pet
Organisation) EPPA (consultancy firm) Eurogroup for Animals
(Animal welfare organisation) European Circus
Association European Parliament FACE (European hunting
association) FAI (consultancy firm) FAO (Food and
Agriculture Organization) Fédération Nationale Porcine (French Pig
farmers organisation) FEDIAF (European pet
food industry) FESASS (European
organisation for animal health) FVE (Federation of
Veterinarians of Europe) HIS (animal welfare
organisation) Hungarian Permanent
Representation (EU Presidency) IFAW (animal welfare
organisation – wild animals) IFOAM (organic farmers'
organisation) Institut de l'Elevage
(French research institute) LRF (Swedish farmers'
organisation) New Zealand EU
delegation NFU (UK farmers'
organisation) SLU (Swedish research
institute) UECBV (European
organisation of livestock traders and slaughterhouses) Vier Pfoten (animal
welfare organisation) WSPA (animal welfare organisation) WUR (Dutch research
institute) 2. Stakeholders'
contributions on the policy options The Commission received
written contributions from the following 20 stakeholders: Alliance of Marine
Mammals Parks and Aquariums (AMMPA) Association for Assessment
and Accreditation of Laboratory Animal Care (AAALAC) Association of Poultry
Processors and Poultry Trade in the EU countries (AVEC) Baltic Petfood Industry
Association (BIPA) Compassion in World
Farming (CIWF) Copa-Cogeca Eurogroup for Animals
(Eurogroup) European Association
for Aquatic Mammals (EAAM) European Association of
Zoos and Aquaria (EAZA) European Circus
Association (ECA) European Forum of Farm
Animal Breeders (EFFAB) European Fur Breeders'
Association (EFBA) European Pet Food
Industry Federation (FEDIAF) Federation of European
Aquaculture Producers (FEAP) Federation of Swedish
Farmers (LRF) Humane Society
International/Europe (HSI) Industrieverband
Heimtierbedarf (IVH) International Fund for
Animal Welfare (IFAW) Vier Pfoten - Stiftung für
Tierschutz (Vier Pfoten) World Horse Welfare
(WHW) The stakeholders'
position papers have been published on the Commission's website at http://ec.europa.eu/food/animal/welfare/actionplan/position_paper_2011_2015_en.htm. General comments The clearest messages
from the stakeholders' submissions are that 14 out of 20 respondents believe
that the new strategy should be based on a mix of policy initiatives from Options
A and B, and that 12 out of 20 highlight the need to develop a communication
and education strategy. Specific comments Industry With the purpose of
composing an easily accessible overview, the Commission has divided the
stakeholders' position papers into two groups: Industry and NGOs. In this
overview, the following 13 stakeholders are considered industry
representatives: AMMPA, AVEC, BIPA, Copa-Cogeca, EAAM, EAZA, ECA, EFBA, EFFAB,
FEDIAF, FEAP, IVH and LRF. 8 out of these 13 held
the opinion that the new strategy should be based on a mix of policy
initiatives from Options A and B. Just over half of the industry
representatives highlighted the need to develop a communication and education
strategy. 6 of the respondents supported the concept of a new framework law,
whereas 3 were negative to developing such a legal concept. A little less than
half of the respondents expressed support for developing indicators for
monitoring procedures. NGOs For the purpose of this
overview; the following 7 stakeholders are considered NGOs: AAALAC, CIWF,
Eurogroup, HSI, IFAW, Vier Pfoten and WHW. 6 out of these 7 held
the opinion that the new strategy should be based on a mix of policy
initiatives from Options A and B. Just as many NGOs were supportive of actions
to strengthen research on animal welfare and of international initiatives. A
clear majority also highlighted the need to develop a communication and
education strategy. Just over half of the respondents were in favour of
extending the scope of EU legislation on animal welfare, of establishing a
network of Reference Centres and of strengthening the enforcement of animal
welfare legislation. Some NGOs pointed out that it is important that animal
welfare is incorporated into other EU policy areas and that it also should be
incorporated into Corporate Social Responsibility schemes. Submissions from
third countries The Commission received
a submission from Canada. 3B. Member
States' contributions on the policy options The Commission received
submissions from 11 Member States. These were Bulgaria, the Czech Republic,
Finland, Hungary, Germany, Ireland, the Netherlands, Poland, Spain, Sweden and
the United Kingdom. In general, the Member
States expressed support for the upcoming EU animal welfare strategy and the
Commission's work in preparing it. The base line option
(status quo) was not supported by any Member State, except if it meant that the
resources employed are used to ensure that the current legislation is more
properly enforced. This concern was echoed by several Member States. There was broad support
for policy Option 2. Nearly all Member States supported communication and
education efforts in relation to animal welfare. Also, third country equivalent
standards for animal welfare were considered essential. There was also much
support for improved coordination between Member States and the EU
institutions, animal welfare research promotion, the Welfare Quality project
and the development of indicators, an animal welfare reference laboratory
network, co-regulation and international activities. Some Member States
mentioned a need to develop and disseminate best practice guidelines. A general framework law
was supported, but a need for further clarification of this legal concept was
also highlighted. Some Member States supported extensions of the scope of EU
legislation on animal welfare, while others were negative to imposing new
regulatory burdens by additional legislation. It was also mentioned that there
is a need to strengthen links between the CAP reform and animal welfare. Very few Member States
asked for updates of current EU animal welfare legislation if research in
relevant areas is developed. A revision of Council Regulation (EC) No 1/2005 on
the protection of animals during transport was requested by one Member State.
There was also pointed to a need to evaluate both the EU's first action plan
for animal welfare and the Better Training for Safer Food programme. Mandatory
animal welfare labelling was perceived rather negatively. Also, according to Member
States, farmers need to be compensated for complying with European animal
welfare legislation. Moreover, animal welfare policies need to be increasingly
mainstreamed with other EU policies. Annex 4 –
Baseline 4A - Legal
provisions, animal welfare impacts, problem drivers and no change scenario Problems related to specific pieces of EU
legislation Type of animals and activity || Legal act || Main provisions || Impacts on animal welfare || Problem drivers || No change scenario Keeping of all farmed animals || Directive 98/58 of 20 July 1998 concerning the protection of animals kept for farming purposes OJ L 221 , 08.08.1998 p. 23. || Contains general principles applicable to all species and referring to the European Convention on the protection of animals kept for farming purposes || Dairy cows – lameness and mastitis, metabolic problems, short production life, transport at the end of their production life (EFSA[179])*** || Directive vague without EU guidance (no specific provisions) Market failure (reducing production costs) No information to consumers Initial production design ignoring animals needs (lack of knowledge) Lack of research for certain species No animal welfare monitoring system || Dairy cows: No positive change. Animal welfare likely to continue to be compromised except in Member States adopting national legislative provisions or guidelines (Germany, Sweden, UK) Beef cattle (SCAHAW[180]) – limited freedom of movement for fattening animals || Beef cattle: no positive change. Ducks in individual cages no ability to move their wings (SCAHAW) || Ducks: Positive evolution foreseen: France agreed to phase out individual cages for ducks. Farmed fish – inhumane killing, overcrowding (EFSA) *** || Farmed fish: Positive change foreseen in the framework of the actions taken following the Aquaculture Strategy. No information on national initiatives for improving the welfare of farmed fish (except in Norway) Farming rabbits - High mortality, no enough space, injuries due to mesh wire floors (EFSA)*** || Rabbits: No positive change foreseen in the main producing countries (France, Italy and Spain) but national provisions in Germany to be adopted. Fur animals – (SCAHAW) no enough space to express normal behaviour, no access to water for minks || Fur animals: Positive evolution foreseen due to private initiative on animal welfare indicators. The fur industry has focused its strategy on sustainable development including animal welfare as a key objective. However the industry complained about market distortions due to differences in legal provisions in each Member State. || || || Turkeys – lameness, foot dermatitis, no space to move (similar to broilers) || || Turkeys: No positive change foreseen. Horses – Neglect (no feed or water) when retired from sportive carrier || Horses: No positive change foreseen. Keeping of pigs || Directive 2008/120 of 18 December 2008 laying down minimum standards for the protection of pigs OJ L 47, 18.02.2009 p. 5 (codified version) || Contains requirements on space allowances and floor types. Bans the permanent use of individual stalls for sows. Require the provision of manipulable materials like straw. || Lack of manipulable materials Routine tail dockings/tooth clipping Use of individual sow stalls (lack of freedom of movement) Castration of male piglets without anaesthesia Transport of unproductive sows to slaughterhouses leading to suffering || Lack of enforcement Market failure (reducing production costs) Initial production design ignoring animals needs Ignorance of farmers of alternative management (sow stalls, tail docking) Lack of research for alternatives in castration No animal welfare monitoring system || Grouping of sows to be implemented from 1.1.2013 but no positive change foreseen for tail docking and tooth clipping Private public partnership to phase out the castration of pigs is foreseen. (see under transport) Keeping of laying hens D. 1999/74 || Directive 1999/74 of 19 July 1999 laying down minimum standards for the protection of laying hens OJ L 203 , 03.08.1999 p. 53. || Bans the use of battery cages from 1.1. 2012 and contains provisions for the different type of housing (enriched cages, alternative systems). || Use of battery cages (bare environment, no perches, no nests and very limited space) Beak trimming [Transport of unproductive laying hens to slaughterhouses] || Lack of enforcement Market failure (reducing production costs) Initial production design ignoring animals needs No animal welfare monitoring system || Ban of battery cages expected to be implemented in 2012. No positive change foreseen for beak trimming. Keeping of calves D. 2008/119 || Directive 2008/119 of 18 December 2008, OJ L 010 , 15.01.2009 P. 7 laying down minimum standards for the protection of calves (codified version) || Bans the permanent use of individual stall for calves. Contains requirements for balanced feed. || To be re-evaluated by the EFSA but insufficient fibre and iron feeding to keep meat white [Transport of unweaned calves with no possibility to be fed] || Market demand in white meat No animal welfare monitoring system || No positive change foreseen (but EFSA needs to confirm the nature and extend of problems soon). (see under transport) Keeping of broilers D. 2007/43 || Directive 2007/43 of 28 June 2007 laying down minimum rules for the protection of chickens kept for meat production (OJ L 182, 12.7.2007 p. 19) || Provides maximum densities for broilers with the possibility of extension under specific conditions of monitoring. || Fast growing animals with lameness and metabolic problems, feed restriction. Limited space at the end of the production. However recent provision (started in 2010 to be applied) Welfare of parent flocks critical (EFSA) Feed restriction and lameness. || Market failure (reducing production costs) Initial production design ignoring animals needs (genetic selection) Report foreseen for parent flocks in 2012 || Main problems of broilers expected to be addressed with the new directive but feed restriction is likely to remain. Welfare of parent flocks is expected to remain a problem. Killing of animals D. 93/119 || Directive 93/119 of 22 December 1993 on the protection of animals at the time of slaughter or killing OJ L 340 , 31/12/1993 p. 21 This text will be replaced in 2013 by the application of Council Regulation (EC) No 1099/2009 of 24 September 2009 on the protection of animals at the time of killing || Contains standards for slaughterhouses as well as provisions in case of killing outside slaughterhouses (disease control, fur animals, etc.). || Abuse of derogation from stunning (ritual slaughter) Other problems to be addressed by new R. 1099/2009 to apply from 1.1.2013 except farmed fish, waterbath stunning, rotating box (reports foreseen) || Market failure (simplification of the production line) || Abuse of derogation from stunning may be addressed in France (possible initiative foreseen but not confirmed) but not in other Member States. Other problems expected to be addressed with the new regulation. Transport of animals || Regulation 1/2005 of 22 December 2004, on the protection of animals during transport and related operations and amending Directives 64/432/EEC and 93/119/EC and Regulation (EC) No 1255/97 || Contains detailed provisions for the main farm species on travelling times, space allowances, fitness for transport, vehicles standards and drivers’ competence. The regulation also includes a number of administrative procedures for allowing proper checks by the competent authorities. || Unfit animals being transported (transport of unweaned calves, transport of end-carrier animals: horses, dairy cows, laying hens, sows) Lack of space, lack of water and feed on long journeys, heat stress due to insufficient space and ventilation Lack of rest in control posts, excessive long journeys. || Lack of enforcement Market failure (reducing production costs) EU standards not in line with scientific findings (space allowances, travel times) || Fitness to transport cattle addressed by a private initiative but nothing on other critical species (calves, dairy cows, sows, horses, laying hens) Other issues possibly addressed by a specific Commission proposal (but not yet decided). The use of animals for experimental purposes || Directive 86/609 of 24 November 1986 on the approximation of laws, regulations and administrative provisions of the Member States regarding the protection of animals used for experimental and other scientific purposes OJ L 358, 18.12.1986, p. 1. Replaced by Directive 2010/63 of 22 September 2010 on the protection of animals used for scientific purposes OJ L 276, 20.10.2010 p. 33 which will have full effect by 1.1.2013 || The new Directive requires that projects using animals are subject to authorisation and a systematic, ethical evaluation. The scope of the directive is enlarged covering new groups/life forms/uses of animals and now also includes specific invertebrate species (cephalopods), mammalian foetuses from the last trimester of their development, as well as animals used for the purposes of basic research, education and training. It also sets housing and care standards, tighter rules for the use and care of non-human primates and introduces a ban on the use of great apes in scientific procedures. Finally, the concept of the 'Three Rs' (Replacement, Reduction and Refinement of animal use) is entrenched in the new Directive. || Addressed by new D.2010/63 || Not relevant || Problems expected to be addressed by the new directive. The keeping of animals in zoos || Directive 1999/22 of 29 March 1999 relating to the keeping of wild animals in zoos, OJl L 094 , 09/04/1999 P. 24 || Contains general requirements for adequate accommodation facilities, species specific enrichments aiming to satisfy biological and behavioural needs, || Animals kept in bare conditions and without proper care corresponding to their need (NGO sources) || Lack of enforcement Lack of knowledge of stakeholders and officials Lack of research No monitoring system || No positive change foreseen. Problems outside the current scope of the EU
legislation Type of animals and activity || Impacts on animal welfare || Problem drivers || No change scenario Trade of dogs and cats || Early weaning, behavioural and health problems || Market failure (reducing production costs) Large difference in standards and enforcement between Member States || No positive change foreseen. ***
Large welfare problems identified "Market
failure" in the context of the table means that the market fails to reward
business operators who apply processes of production which better consider the
welfare needs of animals. In absence of information to consumers, most
business operators tend to reduce production costs favouring systems of
production that could be very detrimental for the welfare of animals. This
explains why some animal welfare problems are widespread. 4B – Level
of EU resources dedicated to animal welfare at EU level (baseline) Figures have been
mainly taken from the evaluation and further details can be found in the
evaluation report[181]
. Communication and
education In relation to
communication and education, the current annual EU resource is around 600.000
euros and one full time equivalent (FTE) in DG SANCO for farm animals.
There is no specific resource on communication and education for wild and
experimental animals (DG ENV). In addition the initiative "Better Training
for Safer Food" dedicates around 400.000 euros per year for the
training of 185 veterinary officials per year[182] on animal welfare issues
related to farm animals. No EU action is performed for the training on animal
welfare on experimental or wild animals. Under the EU
agriculture budget there is the possibility for co-financing the promotion and
information activities for agricultural products and their production methods[183]. Over the period 2006-2010
the EU contributed for 249 million euros for a total cost 505 million euros[184] of 183 promotion programme.
The average promotion cost per programme is therefore of 2.76 million euros
most of them lasting 3 years. However the implementing regulation[185] on promotion measures does
not today foresees messages on animal welfare. Corporate Social
Responsibility and procurement policy As regard Corporate
Social Responsibility (CSR) or procurement policy, there is presently no EU
initiative to introduce animal welfare among the item that would be part of CSR
or procurement policy. Research The EU budget for
research on animal welfare amounts for an annual average of 15 million euros[186], 80% being dedicated to
experimental animals. Farm animals (including fish) receiving the remaining.
The evaluation has clearly indicated the need to increase research on the
welfare of wild animals when they are subject to EU legislation. Voluntary platforms
on animal welfare Concerning the
development of public/private initiatives, there is currently only one platform
committed to reduce the use of animals and to reduce animal suffering in the
context of regulatory testing, and thus promoting animal welfare. As an
indication, the European Platform for Alternative Approaches to Animal Testing
(EPAA) costs annually to the EU around 50.000 euros through the meeting budget,
including EPAA/ECVAM (European Centre for the Validation of Alternative
Methods)[187]
joint workshops and other joint activities. However, a great deal of the EPAA
activities (consultants, scientific writers, workshops, awards), decided by
Commission and industry participants, is financed by the industry concerned.
Developing such platform for farm animals would probably need a similar way of
financing for each sector concerned, where initiatives to be developed will in
part depend on the actual amounts being made available by the sectors. Auditing and
improved coordination As regards further
auditing and advising the Member States, the present resources for farmed
animals is mainly represented by the work performed by the Food and the
Veterinary Office (FVO) of DG SANCO with 9 full time equivalents (FTE). If
auditing is performed regularly, the present staff number would not suffice for
increasing further advice and coordination meetings. Drafting implementation
guidelines would also require additional staff or financial resources. There
are presently at least 8 specific EU pieces of legislation that could be subject
to reinforced coordination and guidelines (6 for DG SANCO and 2 for DG ENV). International
activities As concerned
international initiatives, the evaluation has estimated the current specific
budget to 100.000 euros. One FTE is presently dedicated to international
animal welfare coordination within DG SANCO. Annex 5 –
Impact assessment 5A -
Indicators for the specific objectives[188] Indicators for
specific objective 1: to improve enforcement of the EU legislation –
Rate of infringements, rate of inspection;
number of complaints addressed to the Commission on animal welfare; number of
ongoing EU infringement proceedings. Annex 6A contains tables summarising data
submitted by the Member States for 2008 on the numbers of production sites
subject to inspection, inspected production sites, inspected production sites
without non compliance and detected non compliance that required immediate
action for administrative or criminal penalties[189]. –
Number of official national or regional
guidelines on animal welfare aiming at enforcing EU legislation (this would
need a specific collection work). For example, in the UK a number of local
authorities have an animal welfare charter. –
Number of farms adhering to a specific animal
welfare certification scheme or having an animal welfare component in their
scheme. Indicators for
specific objective 2: to provide for open and fair competition for EU business
operators that implement or go beyond EU requirements –
Market share of EU producers having stricter
animal welfare national rules and analysis of their investment and operating
costs. –
Level of importation of products from third
countries having lower legal standards the EU. –
Number of animals covered by equivalent legal
provisions in third countries. –
Eurobarometer surveys on the level of awareness
of EU citizens and evolution on time. Indicators for
specific objective 3: to improve knowledge and awareness of EU business
operators regarding animal welfare –
Number of education bodies providing animal
welfare curriculum for specific professions related to animals. –
Number of professional schools having specific
animal welfare programmes in their curriculum. –
Number of companies having animal welfare as
part of their corporate social responsibility. –
Research funding (see current level of resources
in the baseline). –
Number of publications on animal welfare; Number
of brevets registered related to animals welfare. –
Number of animals exempted from experiments due
to the validation of alternative methods. –
Number of non-human primates used in scientific
procedures in the EU. Indicators for
specific objective 4: to improve coherence of animal welfare across animal
species –
Level of discrepancies between national animal
welfare standards on dogs and cats based on the most critical animal welfare
problems identified by the Council. –
Level of discrepancies between national animal
welfare standards on dairy cows and beef cattle based on the indicators of the
welfare quality project. –
Level of discrepancies between national animal
welfare standards on farmed fish based on the most critical welfare problems
identified by the EFSA. –
Level of discrepancies between national animal
welfare standards on rabbits based on the the most critical welfare problems
identified by the EFSA. 5B – Option
1: Strengthening Member States' compliance Option 1 will include
the following initiatives: Increased the number of audit missions
of the Commission' services in the Member States and third countries; The Food and Veterinary Office from the
Directorate General Health and Consumers of the Commission (FVO) will perform
more missions on animal welfare. Under the current EU policy on animal welfare,
the work of the FVO corresponds to 9 full time equivalents (FTE). In the
average they perform eleven inspections dedicated to animal welfare
legislation per year. The work of the FVO has contributed to a
more uniform application of EU rules in the veterinary field including animal
welfare. Experience has showed that repeated FVO inspections can address
enforcement issues, keeping in mind that the FVO has no mandate to inspect and
sanction business operators but only to supervise the inspection work of
competent authorities in the Member States. The FVO carries out inspections for
all specific EU legislation applicable to farm animals and their reports are
made public on the internet.[190]
Strengthen inter-governmental
cooperation to promote better enforcement; Strengthening
intergovernmental cooperation through thematic working groups (for government
officials) is useful in providing clarification of disputed aspects of the
legal texts and allows exchange of good practices between the different
competent authorities. More EU resources could be allocated for such
activities, which would inlcude advising Member States' competent authorities
and encouraging cooperation, exchange of best practices and agreement of common
targets and guidelines through thematic working groups and events. Organise workshops with stakeholders on
specific animal welfare issues; The organisation of
workshops for stakeholders on specific enforcement problems have been
successful in the past, in particular for better informing stakeholders on the
scientific background of certain EU rules and possible alternative methods
available. According to participants, such initiatives are useful in bringing
all partners together but can often only be effective if the Commission
continues the work after the event by ensuring a certain follow up in providing
guidelines or organising more specific actions. A number of topics
could be addressed by means of workshops in order to share positive experiences
of good animal welfare practices. This could for example be developed for
ensuring a proper implementation of the future regulation on the protection of
animals at the time of killing, on animal transport or for the zoo directive. Develop EU guidelines for species
covered by the European Convention for the Protection of Animals kept for
farming purposes; Council of Europe
recommendations (of the European Convention for the protection of animals kept
for farming purposes) are part of EU law but their implementation has been left
to the Member States through national measures. Directive 98/58/EC provides the
legislative base for adopting more specific legal text on the basis of the Convention
but has not been used. An alternative way would be to develop specific,
non-legally binding guidelines to further explain how the recommendations
should be implemented[191]. Increase the
participation to the training initiative Better Training for Safer Food. The Better Training for Safer Food
programme (BTSF)[192]
has contributed to raise the level of competence of inspectors as well as raise
awareness of the EU legislation for participants from third countries. Option 1 would envisage the further
development of BTSF initiatives to extend the scope of participants through
e-learning modules on all the set of EU legislation on animal welfare and make
them accessible in all EU languages and to a wider public. Deliverables
of Option 1 1.
Increased number of audit missions in the Member
States and third countries on animal welfare; 2.
Increased number of working groups with the
Member States on better enforcement and interpretation on problem areas of the
EU legislation; 3.
Increased number of workshops with stakeholders in
order to facilitate the understanding of the legislation and the possible
alternatives to bad animal welfare practices 4.
Publication of guidelines of interpretation for
each specific pieces of EU legislation on animal welfare (transport of animals,
killing of animals, keeping of calves, keeping of pigs, keeping of laying hens,
keeping of broilers, experimental animals, zoo animals). 5.
Publication of guidelines on the recommendations
of the European Convention for the protection of animals kept for farming purposes. 5C - Option
2: Benchmarking voluntary schemes Option 2 will include
the following initiatives: A legal framework
for benchmarking certification schemes with animal welfare claims There are many
certification schemes of agricultural products[193], with different claims, some
of them focusing on animal welfare but other having animal welfare components. Option 2 will consist
in establishing a system to benchmark, register and publish certification
schemes with animal welfare claims. The system will be voluntary.
Certification schemes applying for being EU registered will be published and
will benefit from EU communication instruments (see next point). Other
certification will not be evaluated but will be allowed to continue their
activities. Certification schemes
that will apply for EU registration will be evaluated on the basis on an EU
benchmark corresponding to their scope of activity. For example if the
applicant is a certification scheme applicable to dairy farms, the scheme will
be evaluated on the basis of the overall private and public standards available
in the EU for dairy farms, from the more stringent to the lowest requiring
standards. For the establishment
of the EU benchmark on a particular activity, preliminary work will have to be
performed by an independent body working for the EU. This work will consist in
collecting in the EU all the existing certification schemes, national and EU
legislation applicable to the activity concerned and then establish a scale (a
benchmark) ranging the different standards identified in the EU (for example a
scale from 0 to 100, 0 representing the lowest EU standard and 100 the
highest). Then the evaluation of
the applicant scheme will be performed to assess where the applicant scheme is
located on the scale. When the score will be established, the content of the
scheme and its final score on the EU benchmark will be published by the
Commission services. The legislation will define the necessary procedures for
establishing the benchmarking system as well as for registering and publishing
EU registered certification schemes. EU registered schemes
could be used in the context of business to business (as for example farmers to
retailers) but also in the context of animal welfare claims directly
communicated to consumers (specific animal welfare logos or general brands who
want to put forward animal welfare claims). It could also be used in the
context of corporate social responsibility (see Annex 6B). EU registered schemes
will benefit from an EU wide publicity due to their registration. The legislation will
contain provisions to allow EU registered schemes to have decreased official
controls if they provide sufficient guarantees that their schemes is beyond EU
standards and present a higher level of compliance with the legislation. The legislation could
also establish links between the EU benchmark and the provisions of current
animal welfare payments provided in the context of the Rural Development Fund
to ensure that there is a transparent system to evaluate the level of
improvement on animal welfare. The EU benchmark could
also be used as a reference in the context of public procurement. The proposed system is
inspired by the model developed by the Global Food Safety Initiative (http://www.mygfsi.com/). Communication campaigns for informing
consumers Option 2 will also be
associated with a wide communication and education strategy on EU requirements
as well as the EU benchmarking system. Such communication
campaigns will be mainly addressed to consumers but also to stakeholders to
promote the use of the benchmarking system and make it more attractive for
producers. More efforts could also
be provided on animal welfare education tools like "Farmland".[194] Prioritizing of EU actions on animal
welfare at international level Further international
initiatives could be developed through multilateral and bilateral
cooperation with third countries, in synergy with a world wide communication
strategy to explain EU intentions and standards as well as developing a basis
for equivalency with EU standards. Here, the EU could widen its focus on
countries situated at close geographical proximity, such as the countries
covered by the European Neighbourhood Policy (ENP). Deliverables
of Option 2 A Commission proposal for a regulation
establishing an EU system to benchmark, register and publish certification
schemes with animal welfare claims; 6.
A series of communication campaigns directed to
the public, consumers and stakeholders to publicise the new benchmarking system
as well as the EU legislation on animal welfare; 7.
Increased international activities through
bilateral and multilateral cooperation on animal welfare (increased number of
international events, increased number of international standards adopted). 5D - Option
2: Why not an EU compulsory system for animal welfare labelling? There is today a
compulsory labelling system throughout the EU on table eggs[195]. The system consists of
marking each table egg[196]
according to a specific production method (0 for organic, 1 for free range, 2
for barn and 3 for cages). Some stakeholders[197] advocate for extending this
mandatory system of labelling on animal welfare to other animal products like
pig or poultry meat. The issue and other options have been discussed at the
Council during the Commission proposal on animal welfare labelling (see Annex
2H). There are several
reasons why establishing a mandatory system of labelling for animal welfare has
not been considered in the context of this impact assessment: Consumers studies[198] indicate that most consumers
are unlikely to change their buying behaviour with an additional EU logo/label
on animal welfare despite that it remains an important concern for them. It
seems that, for animal welfare, most consumers tend to trust either the brand,
an existing logo (like organic food) or the authorities. 8.
Production methods alone do not necessarily
provide better welfare conditions to the animals, hence labelling on production
methods may lead to ignore important aspects of their welfare related to the
management of the animals rather than the design of the production method. 9.
There is today no comparable system of
classification of production system laid down in the EU legislation for pigs or
poultry. Establishing a mandatory system for labelling pig meat or poultry meat
would require amending several pieces of the EU legislation to establish
categories of production methods. 10.
Establishing a mandatory labelling system with
new categorisation of production methods is likely to bear additional costs for
producers, food processors and food retailers alike. 11.
A new mandatory labelling system was opposed by
many stakeholders, in particular the ones who have developed their own animal
welfare standards (like organic farming) and invested in promoting their logos
or brand names. They fear that an EU wide labelling system will affect their
market. 12.
During the Council debate on animal welfare
labelling (see Annex 2H), there was no large support from the Member States for
such option. 5E - Option
3: Establishing a European network of reference centres This proposal includes
the following initiatives: Setting up a network
of reference centres for animal welfare This idea has already
been developed by the Commission in a previous communication[199] and supported by the European
Parliament. The concept already exists in Article 32 of Regulation (EC) No
882/2004[200]
referring to "Community reference laboratories" and could
possibly be extended to animal welfare. The concept of EU
reference laboratories is to appoint and co-finance national reference
laboratories for coordinating official testing methods for the EU. Each
reference laboratory has a particular topic of activity (like for example the
UK Institute for Animal Health is at the same time national reference
laboratory and the EU reference laboratory for the foot-and-mouth disease). Each EU reference
centre, in a particular animal welfare topic, will have to: –
Coordinate at EU level on EU relevant themes in
collobaroation when appropriate with existing EU funded research structures
like the SCAR (Standing Committee on Agricultural Research) collaborative
working group on animal health and welfare research[201] and the the Animal Health and
Welfare ERA-Net (ANIHWA)[202]; –
Provide scientific and technical expertise to
competent authorities on the EU legislation; –
Disseminate research findings and technical
innovations to EU stakeholders; –
Disseminate research findings among the EU and
the international scientific community; –
Coordinate at EU level the listing and the evaluation
of professional training activities related to animal welfare. The structure of the
network will be made of existing national scientific resources. The network
will not duplicate the role of the EFSA in risk assessment, and the activity of
the Joint Research Centre of the EU and existing structure coordinating EU
policies. The estimated annual costs for the estblishment of the network are
presented at the end of this section. The research which will be carried out
will not overlap with the EU funded research. Deliverables of Option 3 A Commission proposal for a regulation
establishing a European network of reference centres; Task || Minimum scope || Medium scope || Maximum scope Staff || Costs per unit (in €) || Total (in €) || Staff || Costs per unit (in €) || Total (in €) || Staff || Costs per unit (in €) || Total (in €) Director || 1 || 146,681 || 146,681 || 1 || 146,681 || 146,681 || 1 || 146,681 || 146,681 Assistant || 0.5 || 31,585 || 15,792 || 1 || 31,585 || 31,585 || 2 || 31,585 || 63,170 Total staff number || 5 || || || 11 || || || 23 || || Grant total staff costs || || || 510,874 || || || 1,074,154.66 || || || 2,166,735 Total estimated annual operating costs of a
possible ENRC Task || Minimum scope || Medium scope || Maximum scope Units || Costs per unit (in €) || Total (in €) || Units || Costs per unit (in €) || Total (in €) || Units || Costs per unit (in €) || Total (in €) Costs of core activities Sum of staff costs || || || 510,875 || || || 1,074,155 || || || 2,166,735 Overheads (and other office running costs) || 5 || 10,000 || 50,000 || 11 || 10,000 || 110,000 || 23 || 10,000 || 230,000 Meetings and travel (missions for staff, per diems) || 1 || 75,000 || 75,000 || 1 || 150,000 || 150,000 || 1 || 200,000 || 200,000 Total core activities || || || 635,875 || || || 1,334,155 || || || 2,596,735 Costs of network functions Subcontracting of socio-economic studies and impact assessments || 1 || 500,000 || 500,000 || 1 || 400,000 || 400,000 || 1 || 200,000 || 200,000 Subcontracting of Community relevant research on animal welfare and protection practices and/or other network functions || 1 || 500,000 || 500,000 || 1 || 1,200,000 || 1,200,000 || 1 || 1,800,000 || 1,800,000 Subcontracting of education/ training, information and dissemination activities (including website) || 1 || 100,000 || 100,000 || 1 || 500,000 || 500,000 || 1 || 900,000 || 900,000 Workshops with external experts (2 days) || 10 || 18,016 || 180,160 || 15 || 18,016 || 270,240 || 20 || 18,016 || 360,320 Total network functions || || || 1,280,160 || || || 2,370,240 || || || 3,260,320 Total costs || || || 1,916,035 || || || 3,704,395 || || || 5,857,055 5F - Option
4: Streamlining requirements for competence and using animal welfare indicators Streamlining
requirements for competence There is today
requirements for competence in some specific EU legislation (pigs, broilers, transport,
killing, experimental animals). Option 4 will consolidate those requirements in
a single text and extend the requirements on competence to laying hens and
calves farmers. Current legislation || Requirement for competence? || What Option 4 will change? All farmed animals (Directive 98/58) || Yes, but vague (paragraph 1 in Annex). || Repeal the directive and replace with a new general law Keeping of pigs (Directive 2008/120) || Yes, but limited in knowing the legislation (Article 5a). || To be integrated into a requirement for competence under a general law Keeping of laying hens (Directive 1999/74) || None. || Create a new requirement for competence under a general law Keeping of calves (Directive 2008/119) || None. || Create a new requirement for competence under a general law Keeping of broilers (Directive 2007/43) || Yes and specific (Annex IV). || Merge into a requirement for competence under a general law Killing of animals (Directive 93/119) || Replaced by specific requirements under new Regulation 1099/2009 || Merge into a requirement for competence under a general law Transport of animals (Regulation 1/2005) || Yes and specific (Article 6 (4)). || Merge into a requirement for competence under a general law The requirement for the
competence of staff would be specific enough to include in particular the
following objectives in the context of the interaction and the species
concerned: –
Understand the ethical principles concerning the
human-animal relationship, –
Show general knowledge and understanding of
animal behaviour, –
Identify and understand the signs of pain,
suffering and distress including fear of animals, –
Show practical abilities in the foreseen
interaction while preventing or limiting animals' pain, suffering and distress, –
Show knowledge of the legal obligations related
to the protection and welfare of animals, –
Prove the acquired and maintained competence
through an independent and objective examination. Using animal welfare
indicators The general umbrella
directive for farmed animals will be replaced by a general law introducing similar
previous principles but with the additional possibility for operators to comply
through the use of validated animal-based animal welfare indicators. This system has been
introduced in two recent pieces of EU animal welfare legislation (Directive 2007/43
on broilers and Regulation 1099/2009 on killing). The integration of
animal welfare indicators could open the way for a more flexible system of
standard in particular as regards requirements related to the management of the
animals in farms. For example, today the
EU legislation defines the maximum width of openings for concrete slatted
floors for pigs as well as the minimum slat. The purpose of this requirement is
to avoid animals to be trapped into the slat and suffer from injuries. The
general law could introduce the possibility of compliance through the regular
monitoring of scientifically validated animal based requirements (like the
number of foot lesions). The methodology will be
based on the twelve criteria developed by the Welfare Quality project[203] associated with a system of
risk assessment as for the food safety area (see the Food law[204]). The ongoing EFSA Scientific
Opinions on the development of welfare indicators and the Final Report of the
DG RTD Project on welfare indicators will also be taken into account. Criteria that underpin the Welfare
Quality® assessment systems 1. Animals should not suffer from prolonged hunger, i.e. they should have a sufficient and appropriate diet. 2. Animals should not suffer from prolonged thirst, i.e. they should have a sufficient and accessible water supply. 3. Animals should have comfort around resting. 4. Animals should have thermal comfort, i.e. they should neither be too hot nor too cold. 5. Animals should have enough space to be able to move around freely. 6. Animals should be free of physical injuries. 7. Animals should be free of disease, i.e. farmers should maintain high standards of hygiene and care. 8. Animals should not suffer pain induced by inappropriate management, handling, slaughter, or surgical procedures (e.g. castration, dehorning). 9. Animals should be able to express normal, non-harmful, social behaviours, e.g. grooming. 10. Animals should be able to express other normal behaviours, i.e. it should be possible to express species-specific natural behaviours such as foraging. 11. Animals should be handled well in all situations, i.e. handlers should promote good human-animal relationships. 12. Negative emotions such as fear, distress, frustration or apathy should be avoided whereas positive emotions such as security or contentment should be promoted. Deliverables of Option 4 and 4+ 13.
A Commission proposal for a general animal welfare
law streamlining requirements for competence and introducing the possibility to
use animal welfare indicators; 14.
(Option 4+) Studies on the relevance of extending
the scope of certain requirements of the general animal welfare law to other
species (like dairy cows, rabbits, turkeys, dogs and cats). 5G – List of
impacts considered Economic impacts Internal market and
competition There is very little
limitation in the movement of live animals due to animal welfare national rules
and intra-EU trade is highly harmonised mainly due to animal health concerns. The effects on the
level playing field of operators are more critical since discrepancies in
standards are common as regards animal welfare, and this could apply in
different areas of activities. They introduce differences in production and
marketing costs, which might create competitive disadvantages certain
operators. Competitiveness,
trade and international relations Competitiveness of EU
producers in a global context is an important issue when we refer to animal
welfare. Some of our trade partners apply comparable standards including for
farm animals but it cannot be assumed that this is always the case. Animal
welfare is a concern which has not been raised as a trade concern at WTO level
yet, thus making EU rules a possible competitive burden for EU producers,
especially if it relates to commodity products. On the other hand, the
competitiveness of EU producers should not be limited to production costs.
Animal welfare is an attribute that could be part of competitive advantage if
properly marketed. Focusing the production to high margin products and development
of know-how on animal welfare could contribute to safeguard productions in
regions where competition on price is in any case not sustainable. Indeed the evaluation
indicates that the product were there is the highest level of importation in
percentage of EU production (imported sheep meat accounts for nearly 26% of the
EU production) mainly comes from a third country (New Zealand[205]) having comparable animal
welfare standards[206]
beyond the areas required by the EU for equivalency[207]. This means that despite risk
of unfair competition, high welfare standards are compatible with high
competitiveness on the world market. Impacts on trade are
also critical for animal welfare, given that any measure taken should be
compatible with our international commitments (WTO). Up to now very few animal
welfare rules have been applicable to third countries exporting to the EU and
the principle of equivalency has prevailed when it was the case. Third countries may
interpret animal welfare requirements for equivalency as barriers to trade. The
actual effects on our trading partners have to be evaluated with respect to our
commitments at WTO, in particular with regards to the risk of creating
technical barriers to trade. But these effects could also be positive if the EU
is working in building mutual understanding of our standards through bilateral
or multilateral programmes of cooperation on animal welfare. Compliance costs Introducing animal
welfare requirements create compliance costs. This has been demonstrated in the
past for several initiatives that have been important steps for improving the
welfare of animals. Prescriptive measures undoubtedly tend to raise costs for
businesses. Transition periods have been established in the most important
cases so that negative effects on costs are mitigated by long periods of
adaptation. But the relevant question is also how animal welfare measures could
be more economically sustainable in the long term, with regards to the benefits
perceived by operators. Obligations more focused on overall results for animals
may be an alternative for more business-oriented solutions. Animal-friendly
production systems will also have to adapt to the changing climate (i.e. more
heating due to colder winters, more cooling due to warmer summers), consequently
investments in new infrastructure will have to be made. If support for such
investments is going to happen, it will be necessary to ensure that the support
is coupled to specific environmental end EU- wide objectives. Linking them to
climate related objectives such as adaptation and mitigation would
significantly enhance their overall justification. Administrative
burden on businesses Information obligation
exists in the farming sector mainly as a result of food safety and animal
health concerns. Animal welfare legislation provides additional documentation
requirements in particular as a result of the rules related to animal
transport. Extending the scope of animal welfare requirements to other areas
like for pet animals or farmed fish could also create new administrative burden
for businesses that have to be carefully considered. Options will also have to
be considered in their potential in administrative burden reduction in order to
find equivalent standards with less administrative constraints. Public authorities Animal welfare
legislation is already part of the duties of public authorities. Member States
are primarily responsible for the day to day implementation of EU legislation
on animal welfare. Extending the scope of animal welfare requirements to other
areas like pet animals could expand the tasks of the competent authorities if
there is no national legislation in place. Public authorities may also be
affected if new obligations are created to co-finance certain initiatives (like
applied research). Innovation and
research The future strategy
will support the development of innovation and research through different
options. Effects of such a policy may improve production methods in particular
for the farming or the pharmaceutical industry. On the opposite, the
restriction of certain practices on animal welfare grounds (like animal
testing, cloning) may limit the development of research. Consumers prices,
consumer information Animal welfare
standards may affect production costs but have usually very limited effect on
the final price to the consumer. Production costs represent a limited part of
the final price. A recent Commission communication on better functioning of the
food supply chain[208]
indicates that raw agricultural products represent a declining share of
consumer price of food products. How the situation will evolve in future is not
predictable. It is more than likely that farm input prices will fluctuate more
and thereby influence production costs. There is little
evidence that previous policies on animal welfare have had an effect on
consumer prices. Based on specific cases, major animal welfare measures taken
by the EU have had limited impacts on the production costs, since they mainly
affect housing costs which represent around 5 to 10% of the production costs[209] (for example, purchase and
food for chicken constitute nearly 80% of the total costs in the broiler and
egg industry, similar figures apply to pig meat production costs[210]). In addition, increases in
production costs are not necessarily integrally transmitted to consumers, as
producers or distributors may choose to reduce their margins instead of
increasing final prices. In any case, overall production costs contribute to a
limited part of retail prices[211].
Food retail price variations seem to be mainly influenced by the evolution of
commodity prices and the level of food processing. Therefore we would
assume here that consumer prices are in fact not relevant for the purpose of
this impact assessment. Animal welfare Effects on animal welfare
are of course essential for this impact assessment. The effects can be assessed
in relation to the number of animals concerned and the severity of the
suffering involved. Environmental
impacts Environmental
consequences for businesses and consumers High animal welfare
standards tend to promote less intensive systems of production. Animal-friendly
systems of production do not concentrate a number of environmental
disadvantages related to highly industrialised systems. However after
examination this impact has not been considered as significant since the
consumption of animal products is a limited part of the overall consumption. Biodiversity and
fauna The proper keeping of
wild animals in captivity contributes to support knowledge and awareness on
biodiversity. In addition, promoting less intensive systems of production could
also contribute to the conservation of breeds that are more robust but less
productive. Social impacts Employment and job
quality The economic activities
directly or indirectly related to animals represent various sectors. Farming
and the related food industry (meat, dairy products, eggs, fur, animal feed,
and veterinary medicines) is probably the major one in terms of employees. But
the pharmaceutical and the cosmetic industry and public research industry using
animals represent another part that needs to be considered. Finally, other
activities involve animals on a regular basis (zoos, aquaria, circuses, dog
breeders, pet shops, etc.) and their activities are also a source of employment.
Due to constant increase in productivity the farming sector has progressively
lost jobs. The evaluation report
has indicated that the EU policy on animal welfare have not substantially
affected the economic sustainability of the sectors concerned. However there is
no specific data on employement as such. Governance,
participation, good administration The Lisbon Treaty has
developed a new governance approach where the civil society is more involved in
the process of setting common rules. This is particularly relevant for animal
welfare where civil society has constantly and increasingly expressed its
interest in the field. Annex 6 –
Evidence 6A -Data
submitted by Member States on inspection activities in 2008 pursuant to
Commission Decision 2006/778/EC Table 1: Laying hens, calves and pigs
together (2008) Member States || 1 Production subject to inspection || 2 Production sites inspected || 3 Production sites without non compliance || 21 non compliance C || Rate of inspection || Rate of full compliance || Rate of non compliance C AT || 99.618 || 4.063 || 3.727 || 62 || 4,08% || 91,73% || 1,53% BE || 7.908 || 867 || 649 || 33 || 10,96% || 74,86% || 3,81% BG || 7.467 || 2.196 || 622 || 41 || 29,41% || 28,32% || 1,87% CY || 493 || 413 || 262 || 0 || 83,77% || 63,44% || 0,00% CZ || 15.732 || 3.720 || 192 || 31 || 23,65% || 5,16% || 0,83% DE || 285.284 || 16.965 || 14.310 || 306 || 5,95% || 84,35% || 1,80% DK || 34.177 || 1.164 || 787 || 81 || 3,41% || 67,61% || 6,96% EE || 444 || 173 || 136 || 1 || 38,96% || 78,61% || 0,58% EL || 1.958 || 313 || 178 || 39 || 15,99% || 56,87% || 12,46% ES || 265.444 || 4.078 || 2.886 || 131 || 1,54% || 70,77% || 3,21% FI || 19.598 || 552 || 399 || 0 || 2,82% || 72,28% || 0,00% FR || 241.288 || 1.639 || 918 || 115 || 0,68% || 56,01% || 7,02% HU || 39.528 || 4.842 || 3.540 || 76 || 12,25% || 73,11% || 1,57% IE || 23.431 || 922 || 766 || 24 || 3,93% || 83,08% || 2,60% IT || 85.820 || 10.235 || 1.068 || 53 || 11,93% || 10,43% || 0,52% LT || 2.479 || 4.791 || 4.015 || 39 || 193,26% || 83,80% || 0,81% LU || 2.006 || 107 || 87 || 2 || 5,33% || 81,31% || 1,87% LV || 52.090 || 4.331 || 3.655 || 27 || 8,31% || 84,39% || 0,62% MT || NA || NA || NA || 0 || #DIV/0! || #DIV/0! || #DIV/0! NL || 12.291 || 2.604 || 2.222 || 0 || 21,19% || 85,33% || 0,00% PL || 925.685 || 32.116 || 25.328 || 394 || 3,47% || 78,86% || 1,23% PT || 963 || 132 || 37 || 0 || 13,71% || 28,03% || 0,00% RO || 583 || 553 || 128 || 19 || 94,85% || 23,15% || 3,44% SE || 0 || 897 || 0 || 0 || #DIV/0! || 0,00% || 0,00% SI || 64.185 || 459 || 281 || 22 || 0,72% || 61,22% || 4,79% SK || 4.442 || 678 || 459 || 6 || 15,26% || 67,70% || 0,88% UK || 43.982 || 1.917 || 1.587 || 535 || 4,36% || 82,79% || 27,91% EU || 2.236.896 || 100.727 || 68.239 || 2.037 || 24,39% || 61,28% || 3,32% Table 2: Laying hens 2008 Member States || 1 Production subject to inspection || 2 Production sites inspected || 3 Production sites without non compliance || 21 non compliance C || Rate of inspection || Rate of full compliance || Rate of non compliance C AT || 28.540 || 1.145 || 1.076 || NA || 4,01% || 93,97% || #VALUE! BE || 349 || 198 || 143 || 3 || 56,73% || 72,22% || 1,52% BG || 127 || 136 || 59 || 34 || 107,09% || 43,38% || 25,00% CY || 35 || 34 || NA || NA || 97,14% || #VALUE! || #VALUE! CZ || 126 || 147 || 3 || 0 || 116,67% || 2,04% || 0,00% DE || 42.490 || 2.968 || 2.446 || 7 || 6,99% || 82,41% || 0,24% DK || 311 || 101 || 66 || 16 || 32,48% || 65,35% || 15,84% EE || 18 || 11 || 9 || NA || 61,11% || 81,82% || #VALUE! EL || 125 || 90 || 37 || 39 || 72,00% || 41,11% || 43,33% ES || 1.391 || 219 || 99 || 26 || 15,74% || 45,21% || 11,87% FI || 567 || 60 || 54 || 0 || 10,58% || 90,00% || 0,00% FR || 2.227 || 223 || 116 || 21 || 10,01% || 52,02% || 9,42% HU || 559 || 522 || 342 || 31 || 93,38% || 65,52% || 5,94% IE || 228 || 56 || 34 || 2 || 24,56% || 60,71% || 3,57% IT || 1.626 || 843 || 207 || 9 || 51,85% || 24,56% || 1,07% LT || 25 || 25 || 10 || 8 || 100,00% || 40,00% || 32,00% LU || 8 || 8 || NA || NA || 100,00% || #VALUE! || #VALUE! LV || 25 || 22 || 16 || 6 || 88,00% || 72,73% || 27,27% MT || NA || NA || NA || NA || #VALUE! || #VALUE! || #VALUE! NL || 1.198 || 463 || 398 || NA || 38,65% || 85,96% || #VALUE! PL || 10.129 || 1.199 || 685 || 159 || 11,84% || 57,13% || 13,26% PT || 98 || 29 || 14 || NA || 29,59% || 48,28% || #VALUE! RO || 131 || 159 || 30 || 2 || 121,37% || 18,87% || 1,26% SE || NA || NA || NA || NA || #VALUE! || #VALUE! || #VALUE! SI || 143 || 68 || 58 || 1 || 47,55% || 85,29% || 1,47% SK || 55 || 54 || 42 || 0 || 98,18% || 77,78% || 0,00% UK || 5.103 || 341 || 283 || 58 || 6,68% || 82,99% || 17,01% EU || 95.634 || 9.121 || 6.227 || 422 || 56,09% || 60,41% || 11,06% Table 3: Calves 2008 Member States || 1 Production subject to inspection || 2 Production sites inspected || 3 Production sites without non compliance || 21 non compliance C || Rate of inspection || Rate of full compliance || Rate of non compliance C AT || 36.783 || 1.594 || 1.461 || 27 || 4,33% || 91,66% || 1,69% BE || 317 || 70 || 67 || 0 || 22,08% || 95,71% || 0,00% BG || 1.481 || 417 || 191 || 7 || 28,16% || 45,80% || 1,68% CY || 342 || 263 || 185 || NA || 76,90% || 70,34% || #VALUE! CZ || 11.573 || 2.314 || 64 || 14 || 19,99% || 2,77% || 0,61% DE || 131.273 || 7.793 || 6.897 || 142 || 5,94% || 88,50% || 1,82% DK || 22.424 || 679 || 496 || 28 || 3,03% || 73,05% || 4,12% EE || 330 || 107 || 79 || 1 || 32,42% || 73,83% || 0,93% EL || 176 || 55 || 14 || NA || 31,25% || 25,45% || #VALUE! ES || 103.379 || 1.307 || 1.043 || 23 || 1,26% || 79,80% || 1,76% FI || 16.656 || 387 || 258 || 0 || 2,32% || 66,67% || 0,00% FR || 214.769 || 831 || 534 || 16 || 0,39% || 64,26% || 1,93% HU || 7.509 || 1.963 || 1.513 || 4 || 26,14% || 77,08% || 0,20% IE || 21.162 || 585 || 510 || 0 || 2,76% || 87,18% || 0,00% IT || 50.697 || 5.942 || 318 || 10 || 11,72% || 5,35% || 0,17% LT || 1.150 || 2.824 || 2.542 || 19 || 245,57% || 90,01% || 0,67% LU || 1.620 || 81 || 71 || 2 || 5,00% || 87,65% || 2,47% LV || 48.986 || 3.421 || 2.848 || 14 || 6,98% || 83,25% || 0,41% MT || NA || NA || NA || NA || #VALUE! || #VALUE! || #VALUE! NL || 2.844 || 973 || 907 || NA || 34,21% || 93,22% || #VALUE! PL || 539.542 || 20.286 || 16.239 || 117 || 3,76% || 80,05% || 0,58% PT || NA || 59 || 42 || NA || #VALUE! || 71,19% || #VALUE! RO || 171 || 123 || 29 || 4 || 71,93% || 23,58% || 3,25% SE || NA || 708 || NA || NA || #VALUE! || #VALUE! || #VALUE! SI || 38.762 || 247 || 146 || 1 || 0,64% || 59,11% || 0,40% SK || 2.108 || 302 || 227 || 4 || 14,33% || 75,17% || 1,32% UK || 1.777 || 1.043 || 889 || 267 || 58,69% || 85,23% || 25,60% EU || 1.255.831 || 54.374 || 37.570 || 700 || 30% || 67,84% || 2,36% Table 4: Pigs 2008 Member States || 1 Production subject to inspection || 2 Production sites inspected || 3 Production sites without non compliance || 21 non compliance C || Rate of inspection || Rate of full compliance || Rate of non compliance C AT || 34.295 || 1.324 || 1.190 || 35 || 3,86% || 89,88% || 2,64% BE || 7.242 || 599 || 439 || 30 || 8,27% || 73,29% || 5,01% BG || 5.859 || 1.643 || 372 || 0 || 28,04% || 22,64% || 0,00% CY || 116 || 116 || 77 || NA || 100,00% || 66,38% || #VALUE! CZ || 4.033 || 1.259 || 125 || 17 || 31,22% || 9,93% || 1,35% DE || 111.521 || 6.204 || 4.967 || 157 || 5,56% || 80,06% || 2,53% DK || 11.442 || 384 || 225 || 37 || 3,36% || 58,59% || 9,64% EE || 96 || 55 || 48 || NA || 57,29% || 87,27% || #VALUE! EL || 1.657 || 168 || 127 || NA || 10,14% || 75,60% || #VALUE! ES || 160.674 || 2.552 || 1.744 || 82 || 1,59% || 68,34% || 3,21% FI || 2.375 || 105 || 87 || 0 || 4,42% || 82,86% || 0,00% FR || 24.292 || 585 || 268 || 78 || 2,41% || 45,81% || 13,33% HU || 31.460 || 2.357 || 1.685 || 41 || 7,49% || 71,49% || 1,74% IE || 2.041 || 281 || 222 || 22 || 13,77% || 79,00% || 7,83% IT || 33.497 || 3.450 || 543 || 34 || 10,30% || 15,74% || 0,99% LT || 1.304 || 1.942 || 1.463 || 12 || 148,93% || 75,33% || 0,62% LU || 378 || 18 || 16 || NA || 4,76% || 88,89% || #VALUE! LV || 3.079 || 888 || 791 || 7 || 28,84% || 89,08% || 0,79% MT || NA || NA || NA || NA || #VALUE! || #VALUE! || #VALUE! NL || 8.249 || 1.168 || 917 || NA || 14,16% || 78,51% || #VALUE! PL || 376.014 || 10.631 || 8.404 || 118 || 2,83% || 79,05% || 1,11% PT || 963 || 132 || 37 || NA || 13,71% || 28,03% || #VALUE! RO || 281 || 271 || 69 || 13 || 96,44% || 25,46% || 4,80% SE || NA || 189 || NA || NA || #VALUE! || #VALUE! || #VALUE! SI || 25.280 || 144 || 77 || 20 || 0,57% || 53,47% || 13,89% SK || 2.279 || 322 || 190 || 2 || 14,13% || 59,01% || 0,62% UK || 37.102 || 533 || 415 || 210 || 1,44% || 77,86% || 39,40% EU || 885.529 || 37.320 || 24.498 || 915 || 25% || 63,26% || 5,76% 6B –
Examples of Corporate Social Responsibility including animal welfare Overall summary: some important national players of the food chain at different
steps (mainly food retailers and food services) have included animal welfare in
their CSR. The phenomenon is particularly noticeable in the UK but not
exclusively. Important other players of the food chain do not mention animal
welfare in the CSR and the number of examples quoted below is not comprehensive
but should not be interpreted as representing the majority of the food sold in
the EU. 1. Retailers TESCO Market share (2010)[212]: 30.7 % Operating profit (2010)[213]: 3.5
billion £ Number of employees
(worldwide)[214]:
472.000 Number of stores
(worldwide)[215]:
4811 Corporate Philosophy[216]: Slogan
"Every little helps" (environment, communities, responsible selling,
healthy choices) Scope of the animal
welfare measures: horizontal Particular actions
regarding animal welfare: Food Animal Initiative:[217]
Development of food production systems aimed at delivering better animal welfare,
improved farmland environments and higher quality food while securing a certain
margin for farmers Codes of Practice[218]
for all primary agricultural products sold under the Tesco brand. Codes of
Practice used as means to meet customers' concerns about ethical treatment of
animals. Tesco carries out audits, both announced and unannounced, on its
suppliers to ensure compliance of standards. Tesco also employs external audit
company. Summary of the most
important actions: Actions related to supporting ethical treatment of animals
in food supply chain and codes of practice related to breeding, transporting
and killing of animals used for Tesco brand. COOP ITALIA Market share (Italy,
2007)[219]:
nearly 15 % Operating
profit/revenue (2009)[220]:
12.8 billion Number of members
(2009)[221]:
over 7 million Number of stores (2009)[222]: 119
consumer co-operatives, 1446 stores Corporate Philosophy:
Slogan "Coop sei tu" Scope of the animal
welfare measures: by species (laying hens) Particular actions
regarding animal welfare: In 2008 Coop Italy
started its formal request to all suppliers to start adapting to new
requirements regarding the ban of eggs originating from laying hens held in
battery cages.[223] Coop Quality
department’s controls all along the food chain Initiative to be extended
to own brand processed foods which contain egg as an ingredient Summary of the most
important actions: ban of eggs from hens in battery cages since 2008 The Cooperative Group UK Market share (2010)[224]: 8 % Operating profit (2009)[225]: 307 million £ Number of
employees/members (2009): over 1.2 million members[226], over 120.000 employees[227] Number of stores (2010)[228]: over 3000 stores Corporate Philosophy:
to contribute to a better society: to be economically successful, to serve
customers, to be an ethical leader and an exemplary leader Scope of the animal
welfare measures: horizontal and by species Particular actions
regarding animal welfare: Eggs: 1995: first retailer to
label battery eggs as 'intensively produced' 2006: ban selling of
shell eggs from caged hens under the Co-operative brand 2008: all eggs sold are
free range 2010: only free range
eggs as an ingredient of own brand products General: Offers the largest range of RSPCA Freedom
Food-labelled products in the UK, assure basic
animal welfare through farm assurance standards, first retailer to adopt the
RSPCA Freedom Food scheme Chicken: Fresh chicken is
produced to their higher-welfare Elmwood standards (naturally ventilated and
sunlit barns and given 30% more space than standard chickens, grow slower through
the use of a naturally balanced, high cereal vegetarian diet etc.)[229] Household product
standards: collaboration with BUAV on the development of the Humane Household
Products Standard ensuring that household products have not been tested on
animals[230] Summary of the most
important actions: cage-free eggs, labelling, broiler minimum welfare
standards, testing Sainsbury's Market share (2010)[231]: 16.6 % Operating profit (2010)[232]: 671
million £ Number of employees
(2009)[233]:
148.500 Number of stores (2010)[234]: 890 Corporate Philosophy:
Best food for health, sourcing with integrity, respect for the environment,
making a positive difference in the community and improving workplace Scope of the animal
welfare measures: by species Particular actions
regarding animal welfare: Eggs: In 2009 they became the
first major retailer to stop selling eggs from caged hens, they are committed
to using only cage free eggs as an ingredient by the end of 2011, offer high
welfare Woodland eggs and chickens[235] Summary of the most
important actions: cage eggs ban REWE Group (DE and Eastern Europe) Market share: 2nd
biggest food retailer in Germany, market shares depend on product area Annual revenues
(general): 51 billion Number of employees
(2009, DE)[236]:
over 325.000 Number of stores (2010)[237]: 11000 Corporate Philosophy:
slogan "together for a better life", act responsibly while being
economically profitable and innovative Scope of the animal
welfare measures: horizontal Particular actions
regarding animal welfare: Creation of animal
welfare product range called "Rewe Bio" that require humane animal
welfare standards[238] Summary of the most
important actions: actions related to a small selection of products visibly
labelled as organic and pro animal welfare 2. Food
services/caterers McDonald's Market share (2007)[239]: 19 %
(biggest share worldwide in fast food industry) Annual revenues
(worldwide, 2009)[240]:
22.7 billion $ mostly generated in Europe Number of employees
(worldwide)[241]:
1.7 million Number of restaurants
(worldwide)[242]:
over 31.000 restaurants Corporate Philosophy[243]: customer
relations, commitment to employees, ethical business, community building,
business profit and continuous improvement Scope of the animal
welfare measures: horizontal programs, by species Particular actions
regarding animal welfare: Agricultural Assistance
Programme (Europe): The program is a framework of standards promoting food
safety, quality and sustainable agricultural production methods. Food Animal Initiative
(Europe) McDonald’s
"Flagship Farms’" is a 3-year project in conjunction with the Food
Animal Initiative (FAI) in Europe that seeks to increase the company's
commitment and investment in sustainable agricultural practices. These
‘Flagship Farms’ are used as case studies by the supply chain to demonstrate
practices which are scientifically underpinned and backed by credible
third-party stakeholders. Good practice examples
for animal welfare within "Flagship Farms" initiative: Animal Welfare
in dairy farming (NL)[244],
Waste management, animal welfare and species conservation in beef farming (IE)[245] Founding partner of the
Food Animal Initiative[246] at Oxford University, a
project combining the evidence-based science with practical applications in
order to encourage sustainable commercial farming systems, and a particular
focus on animal welfare. Founding member of the
European Animal Welfare Platform, which is funded under the European Union’s
Seventh Framework Programme for Research. Animal Welfare Guiding
Principles[247]:
McDonald's audits all abattoirs to guarantee compliance with their principles Summary of the most
important actions: Several initiatives on
the European market show the company's commitment to improving ethical
treatment on farms supplying ingredients for McDonald's products. The
"Flagship Farms" provide best case examples, the FAI combines science
with business and the guiding principles along audits in abattoirs ensure
higher animal welfare standards Burger King Market share (2007)[248]: 2 % Annual revenues (2009)[249]: 2.5 billion $ Number of employees
(worldwide, 2010)[250]:
over 38.000 Number of restaurants
(worldwide, 2008)[251]:
over 11.000 worldwide Corporate Philosophy:
commitment to food, people, environment, corporate governance, "Have it
your way" slogan Scope of the animal
welfare measures: general Particular actions
regarding animal welfare: Actions related to products, animal welfare is part
of the company's general CSR priorities[252] Summary of the most
important actions: new products introduced in product range 3. Multinational
corporations/global players Unilever Market share: depends
on product segment (savoury, dressings, spreads/ ice cream and beverages/
personal care/ home care), global market leader in food categories[253], number two in laundry and
daily hair care products[254] Operating income (2009)[255]: 5020 million Number of employees
(2009)[256]:
163.000 Number of brands (2011)[257]: over 400 Corporate Philosophy:
new ways of business while reducing environmental impact Scope of the animal
welfare measures: horizontal Particular actions
regarding animal welfare: Animal welfare has been
one of Unilever’s sustainable agriculture indicators since 2005, several
collaborations with brands to use only cage free eggs, have decided to focus on
cage-free eggs and dairy supply chain within their current sustainable sourcing
programme. Summary of the most
important actions: limited actions related to eggs and specific and few brands IKEA Market share (2010)[258]: depending on the commodity
in question, market share is between 5 and 10 %, IKEA is the world's largest
furniture retailer Net income (2010)[259]: 2.7 billion $ Number of employees
(2010, worldwide)[260]:
127.000 Number of stores (2010,
worldwide)[261]:
313 Corporate Philosophy:
innovative and cost-effective products for low prices while taking
responsibility for the people and the environment Scope of the animal
welfare measures: horizontal Particular actions
regarding animal welfare: IKEA and NGO CIWF work
together on improving farm animal welfare standards in IKEA’s food business[262] Summary of the most
important actions: general provisions for farm animal welfare 4. Food producers Danone Market share (2010,
worldwide)[263]:
27 % (number 1 in fresh dairy products) Operating profit (2009,
worldwide)[264]:
over 2000 million Number of employees
(2009, worldwide)[265]:
over 80000 Number of stores: not
applicable Corporate Philosophy:
openness, enthusiasm, humanism, proximity Scope of the animal
welfare measures: horizontal Particular actions
regarding animal welfare: The Danone sub-brands "Les 2 Vaches/Stonyfield"
(the organic branch of Danone) use only organic milk from cows raised with high
animal welfare standards (France only)[266] Summary of the most important actions:
limited actions for small niche sub-brand regarding organic dairy milk [1] All abbreviations are explained in a glossary in
Annex 1. [2] EU initiatives on animal welfare are detailed in the
annex of the Terms of Reference of the evaluation which can be consulted at www.eupaw.eu . [3] COM(2006)13 final. [4] See Annex 5 for a description of the areas of action
identified in the 2006 Action Plan. [5] P7_TA(2010)0130. [6] See summary of the European Parliament's resolution
in Annex 6. [7] www.eupaw.eu. [8] See the 2009 Commission Communication " Building
a sustainable future for aquaculture- A new impetus for the Strategy for the
Sustainable Development of European Aquaculture" [9] 9086 responses were collected through the web
consultation between 3 June and 31 August 2010. [10] All main stakeholders including fish farmers were
invited to a one-day meeting on 31/1/2011. [11] http://ec.europa.eu/food/animal/diseases/strategy/animal_health_advisory_committee_en.htm. [12] Only contributions from stakeholders who have agreed to
have their comments published. [13] Held in Brussels on 18/2/2011. [14] The inter-service steering group was consulted
consulted five times, at different stages of the process. [15] European Food Safety Authority. [16] See the International Terrestrial Animal Health Code of
the World Organisation for Animal Health (OIE), Chapter 7.1. [17] See Annex 2A for the full text of the definition and
references. [18] Council Directive 98/58/EC of 20 July 1998 concerning
the protection of animals kept for farming purposes. [19] This directive transposes in EU law the principles of
the European Convention for the Protection of Animals kept for Farming purposes
(See Annex 2C for the specific recommendations deriving from this Convention). [20] Council Directive 93/119/EC on the protection of
animals at the time of slaughter or killing. [21] Council Regulation (EC) No 1/2005 on the protection of
animals during transport and related operations and amending Directives
64/432/EEC and 93/119/EC and Regulation (EC) No 1255/97. [22] Council Directive 86/609/EEC on the approximation of
laws, regulations and adminstrative provisions of the Member States regarding
the protection of animals used for experimental and other scientific purposes. Detailed
data is given in the impact assessment relating to this legislation:
SEC(2008)2411 and SEC(2008)2410. [23] Directive 1992/22/EC relating to the keeping of wild
animals in zoos. [24] Regulation (EC) No 1007/2009 of the European Parliament
and of the Council on trade in seal products. [25] Council Regulation (EEC) No 3254/91 prohibiting the use
of leghold traps in the Community and the introduction into the Community of
pelts and manufactured goods of certain wild animal species originating in
countries which do not meet international humane trapping standards. [26] Regulation (EC) No 1523/2007 of the European Parliament
and the Council banning the placing on the market and the import to, or export
from, the Community of cat and dog fur, and products containing such fur. [27] http://www.farmland-thegame.eu/ [28] http://ec.europa.eu/food/training_strategy/index_en.htm [29] See the evaluation, page 78. [30] See evaluation report page 83 for more details on the
benefits of cross-compliance on animal welfare. [31] See
http://www.oie.int/en/animal-welfare/animal-welfare-key-themes/ [32] See evaluation report for different figures about the
number of animals in Annexes A1-7 and A1-8. [33] There are around 4 million horses but not all are used
for economic purposes. [34] Eurostat data on aquaculture production for 2007. [35] A study made in France (Rapport d’information sur la
filière canine No 1514 à l’Assemblée Nationale du 12 mars 2009) estimates that
75 % of newly-born puppies are sold outside a ‘controlled framework’. The
report estimates that 850 000 to 900 000 dogs are born every year in France, each
with an average commercial value of € 950. [36] Details on the economic significance of the the sectors
concerned are provided in the evaluation report under section 2.6 as well as
evaluation question 6 (external trade). [37] Data 2008 from the evaluation report. [38] Eurostat data on aquaculture production for 2006. [39] 10 % of newly-born puppies are sold each year for an
average price of € 950 euros. [40] In France alone the trade is estimated to be worth € 400
million for a population of 8 million dogs. An extrapolation to the estimated
EU dog population of 60 million would lead us to estimate the value of the dog
trade in the EU as at least € 3 billion. [41] This represents less than 2 % of the EU working
population, estimated at around 215 million people (on the basis of EUROSTAT
data on population. The overall population is 495 million, of which 67.1 %
were aged 15 to 64 in 2009, and the average employment rate is 65 %). [42] Agricultural statistics, main results 2008-2009,
EUROSTAT pocketbooks (ISSN 1830-463X). [43] Impact assessment accompanying the proposal for a
Council Regulation on the protection of animals at the time of killing
SEC(2008)2425. [44] Detailed data is given in the impact assessment relating
to this legislation: SEC(2008)2411 and SEC(2008)2410. [45] http://ec.europa.eu/food/fvo/index_en.cfm [46] http://www.efsa.europa.eu/
, full list of scientific opinions available on animal welfare are laid down in
Annex 2J. [47] Member States reports on the implementation of
Directive 98/58/EC as well as of Regulation (EC) No 1/2005. In addition Member
States have provided replies to questionnaires performed on specific animal
welfare issues such as the welfare of dogs and cats (performed by the Belgian
Presidency) or on the use of the derogation from stunning animals in
slaughterhouses (performed by the Commission). [48] Several animal welfare organisations have provided
evidence of non compliances in different fields of the EU legislation and
notably Animals' Angels on animal transport, Compassion in World Farming on
farmed animals or the Born Free Fondation on zoo animals. [49] According to recent reports from the Member States
pursuant to Directive 1999/74 and Commission Decision 2006/778/EC approximately
40% of laying hens population in the EU is kept in battery cages. [50] Council Directive 93/119/EC on the protection of
animals at the time of slaughter or killing. [51] http://www.bornfree.org.uk/
[52] Council Directive 2008/120/EC laying down minimum
standards for the protection of pigs. [53] Council Directive 1999/74/EC laying down minimum
standards for the protection of laying hens. [54] Council Regulation (EC) No 1/2005 on the protection of
animals during transport and related operations and amending Directives 64/432/EEC
and 93/119/EC and Regulation (EC) No 1255/97. [55] The current requirements for space and travelling times
are based on a scientific opinion of 1992 despite a Commission proposal made in
2003 based on more recent data. See COM(2003)425 final. [56] Council Directive 93/119/EC on the protection of
animals at the time of slaughter or killing. [57] Council Directive 98/58/EC of 20 July 1998 concerning
the protection of animals kept for farming purposes. [58] The evaluation found that targeted legislation is more
effective than general provisions when it comes to improving animal welfare. [59] Directive 1992/22/EC relating to the keeping of wild
animals in zoos. [60] The Commission presented the main findings of the evaluation, in
which the following problems related to the EU policy on animal welfare were
identified: insufficient enforcement, competitiveness of farmers, lack of
communication to consumers and stakeholders, need for more research and
extending the EU scope for animal welfare policies. [61] For examples of lack of enforcement, see the evaluation
report p. 36 to 40. [62] See the Feasibility study on animal welfare labelling
and establishing a Community Reference Centre for Animal Protection and Welfare
Part 1: Animal Welfare Labelling (available at: http://ec.europa.eu/food/animal/welfare/farm/aw_labelling_report_part1.pdf,
page 8). [63] PDO/PGI schemes often emphasise more traditional and
less intensive production methods. They focus on non-welfare aspects but have
positive side-effects on animal welfare (PDO = Protected Designation of Origin
and PGI = Protected Geographical Indication). [64] See for example ‘Are labels the answer? Barriers to
buying higher animal welfare products. A report for Defra’ (September 2010). . [65] M. Miele, 2010, Expert report Task 1.3, European Animal
Welfare Platform Report concerning consumer perceptions and attitudes toward
farm animal welfare. [66] On consumers’ concerns vs citizens’ concerns and free-riding
behaviour see also: Societal concerns — Domestic policy choice and
international competitiveness — Report 2011/2 — Anna Andersson — Agrifood
economics centre (www.agrifood.se). [67] Each table egg marketed in the EU to be marked with a
code identifying the farming method as defined in the legislation (0 for
organic, 1 for barn, 2 for free range and 3 for cage system). [68] OJ L189/1
20.7.2007 - Council Regulation (EC) No 834/2007 of 28 June 2007 on organic
production and labelling of
organic products and repealing Regulation (EEC) No 2092/91 [69] On those schemes and animal welfare labelling see
COM(2009)584final. [70] However, some labelling schemes targeting animal
welfare are operated in the private sector, particularly in those parts of the
EU where this is an important issue for consumers (e.g. Neuland in DE; Freedom
Food in UK). [71] The European Food Safety Authority:
http://www.efsa.europa.eu/en/panels/ahaw.htm. [72] The total average annual budget for EU research on
animal welfare is around € 15 million — € 135 million from 2000-2008
with € 108 million for experimental animals, € 24 million for farm
animals and € 3 million for aquaculture (from the evaluation report, p. 41). [73] Grouping of calves: 8 years, ban of battery cages for
laying hens: 13 years, grouping of sows: 10 years, new requirements for
slaughterhouses: 10 years [74] http://ec.europa.eu/food/fvo/index_en.cfm [75] Case can be consulted in curia.europa.eu (Case C-416/07). [76] Under the rural development regulation there is no
obligation for the Member States to include measures on animal welfare in their
rural development plan like for agri-environmental measures. [77] Each table egg marketed in the EU hto be marked with a
code identifying the farming method as defined in the legislation (0 for
organic, 1 for barn, 2 for free range and 3 for cage system). [78] On those schemes and animal welfare labelling see
COM(2009)584final. [79] However, some labelling schemes targeting animal
welfare are operated in the private sector, particularly in those parts of the
EU where this is an important issue for consumers (e.g. Neuland in DE; Freedom
Food in UK). See also DG Agri
inventory (http://ec.europa.eu/agriculture/quality/certification/inventory/global-view-policy-area_en.pdf) [80] See the ongoing compliance problems with laying hens
and the grouping of sows. [81] new regulation on killing, new broiler directive, new
directive on experimental animals [82] COM(2009) 584 final and background materials (IA report
and preliminary study) can be consulted at: http://ec.europa.eu/food/animal/welfare/farm/docs/options_animal_welfare_labelling_report_en.pdf
[83] Welfare of calves, pigs, laying hens, broilers, other
farmed animals, animal transport, animal slaughter, experimental animals and
zoo animals. [84] http://www.scar-cwg-ahw.org/ [85] http://www.scar-cwg-ahw.org/?page_id=146 [86] COM(2009)584final. See also: http://ec.europa.eu/food/animal/welfare/farm/labelling_en.htm
[87] The UECBV (livestock traders’ association), Eurogroup
for Animals and the FVE are working on an EU guidelines for the fitness of
animals to be transported. In parallel, in 2010 the Commission organised
meetings with the Member States to better enforce the EU legislation on animal
transport. [88] On the declaration to stop pig castration: http://ec.europa.eu/food/animal/welfare/farm/initiatives_en.htm. [89] http://www.myredtractor.co.uk/splash/ [90] See:
http://www.ciwf.org.uk/good_egg_awards/english/about_us/default.aspx. [91] See Feasibility study on animal welfare labelling and
establishing a Community Reference Centre for Animal Protection and Welfare.
26.012009 by FCEC. http://ec.europa.eu/food/animal/welfare/farm/labelling_en.htm. [92] See Annex 6B on examples of CSR and animal welfare. [93] In the environmental area the European Commission has
co-funded a research project to scientifically assess the potential
environmental benefits of green public procurement. The results of this study
are uplifting, see: http://ec.europa.eu/environment/gpp/pdf/buying_green_handbook_en.pdf.
. [94] The State of California banned battery cages and sow
stalls in 2008. [95] Figures have been calculated on the basis of 2008 data set
out in Table 3.5 of the evaluation report (in tonnes). [96] http://www.animalwelfareandtrade.com/programme.php. [97] http://www.efba.eu/welfur/ [98] EU contributed to 249 million euros for 183 promotion
programmes (but total costs of the programmes are 505 million euros, also
co-financed by Member States and sectors concerned) in the period 2006-2010 or
an average of 1.36 million per programme. The programme lasts in the average 3
years making an annual average of 450.000 euros. [99] Commission Communication — EU best practice guidelines
for voluntary certification schemes for agricultural products and foodstuffs (2010/C 341/04) [100] On OIE collaborative centres general mandate see http://www.oie.int/en/our-scientific-expertise/collaborating-centres/mandate-and-internal-rules/. [101] www.welfarequality.net. [102] Funded by the Dutch authorities. No published document. [103] http://www.laywel.eu/. [104] See http://www.oie.int/eng/normes/mcode/en_titre_1.7.htm. [105] See: http://w3.rennes.inra.fr/pigcas/. [106] http://www.q-porkchains.org/. [107] See: http://ec.europa.eu/food/animal/welfare/farm/alcasde_study_04122009_en.pdf. [108] See: http://www.efba.eu/welfur/. [109] See: http://www.animalwelfareplatform.eu/about.asp. [110] p. 61 of the IA report SEC (2009) 1432. [111] Commission Decision 2010/735/EU on financial aid from
the Union for the year 2011 for certain European Union reference laboratories
in the field of animal health and live animals (OJ L 316, 2.12.2010, p. 17). [112] Directive on pig, directive on broilers, regulation on
transport, new regulation on killing and directive on experimental animals. [113] A study has recently found that the average cost for
training personnel transporting animals was around € 480 per person. In a
previous impact assessment (SEC(2008)2424) the average cost for training
personnel in slaughterhouses was estimated at € 200 per person. [114] A three-years transitional period was used for
Regulation (EC) No 1/2005 on animal transport and for Regulation (EC) No
1099/2009 on the protection of animals at the time of killing. [115] The evaluation calculated that the production costs for
calves in 2008 were around € 2.4 billion and for laying hens around € 4.5
billion. (The increase in costs would be € 117 divided by 6900 million). [116] For example, a study indicates that changes in
stockpersons’ behavior that reduce cows’ fear of humans can offer the industry
opportunities to improve the productivity of cows: ‘The effects of cognitive
behavioral intervention on the attitude and behavior of stockpersons and the
behavior and productivity of commercial dairy cows’, P. H. Hemsworth et. al. [117] Study on the stunning/killing practices in
slaughterhouses and their economic, social and environmental consequences (see:
http://ec.europa.eu/food/animal/welfare/slaughter/report_parti_en.pdf). [118] HACCP stands for Hazard Analysis Critical Control Point.
It is a method for systematically analyse the risk for food safety in a
particular production process and to identify the steps of production to be
monitor to ensure a consistent and reliable quality. [119] Report on the experience gained from the application of
the hygiene Regulations (EC) No 852/2004, (EC) No 853/2004 and (EC) No 854/2004
of the European Parliament and of the Council of 29 April 2004 COM(2009)403
final. [120] 16348/10 — COM(2010) 672 final. [121] For example, SCAN AB, the biggest meat processing
company in Sweden, has introduced training on animal welfare issues for
employees involved in activities related to slaughter. According to unpublished
internal data, this training led to a 5 % increase in pig welfare from
2000 to 2001. [122] E.g.
World Society for the Protection of Animals, cf. www.wspa.org.uk/wspaswork/education/Default.aspx,
Compassion in World Farming, cf. http://www.ciwf.org.uk/resources/education/default.aspx,
Protection mondiale des animaux de ferme, cf. http://www.animaux-de-ferme.com/, extensive
education programmes in England and Wales, cf. http://www.rspca.org.uk/education, and the
Swedish University of Agricultural Sciences’ ‘Ethology and Animal Welfare
Programme’, cf. http://www.slu.se/en/faculties/vh/departments/department-of-animal-environment-and-health/education/the-ethology-and-animal-welfare-programme/.
. [123] For farmed animals: Commission Decision
2006/778/EC concerning minimum requirements for the collection of information
during the inspections of production sites on which certain animals are kept
for farming purposes and Article 27(2) of Council Regulation (EC) No 1/2005 for
the protection of animals during transport and related operations. [124] The Food and Veterinary Office (FVO) is a directorate of
DG SANCO responsible for checking on compliance with the requirements of EU legislation
on food safety and quality, animal health and welfare and plant health. See
more at http://ec.europa.eu/food/fvo/index_en.cfm. [125] In 2009 the Commission received 9 complaints about the welfare
of farmed animals. In 2010 it received 13 such complaints. [126] OJ L 308, 9.11.91, p.1 [127] OJ L 42, 14.2.98. [128] http://ec.europa.eu/food/fs/sc/scah/out54_en.pdf [129] http://ec.europa.eu/food/fs/sc/scah/out21_en.pdf [130] http://www.efsa.europa.eu/en/efsajournal/pub/1140.htm [131] http://www.efsa.europa.eu/en/efsajournal/pub/1142.htm [132] http://www.efsa.europa.eu/en/efsajournal/pub/1139.htm [133] http://www.efsa.europa.eu/en/efsajournal/pub/1141.htm [134] http://www.efsa.europa.eu/en/efsajournal/pub/1143.htm [135] http://www.efsa.europa.eu/en/efsajournal/pub/1143r.htm [136] http://www.efsa.europa.eu/en/efsajournal/pub/267.htm [137] http://www.efsa.europa.eu/en/efsajournal/pub/736.htm [138] http://www.efsa.europa.eu/en/efsajournal/pub/796.htm [139] http://www.efsa.europa.eu/en/efsajournal/pub/809.htm [140] http://www.efsa.europa.eu/en/efsajournal/pub/844.htm [141] http://www.efsa.europa.eu/en/efsajournal/pub/843.htm [142] http://www.efsa.europa.eu/en/efsajournal/pub/954.htm [143] http://www.efsa.europa.eu/en/efsajournal/pub/1012.htm [144] http://www.efsa.europa.eu/en/efsajournal/pub/1014.htm [145] http://www.efsa.europa.eu/en/efsajournal/pub/1010.htm [146] http://www.efsa.europa.eu/en/efsajournal/pub/1011.htm [147] http://www.efsa.europa.eu/en/efsajournal/pub/1013.htm [148] http://www.efsa.europa.eu/en/efsajournal/pub/1072.htm [149] http://www.efsa.europa.eu/en/efsajournal/pub/1073.htm [150] http://www.efsa.europa.eu/en/efsajournal/pub/1145.htm [151] http://ec.europa.eu/food/fs/sc/scah/out17_en.html [152] http://www.efsa.europa.eu/en/efsajournal/pub/1886.htm [153] http://ec.europa.eu/food/fs/sc/scah/out67_en.pdf [154] http://ec.europa.eu/food/fs/sc/oldcomm4/out17_en.pdf [155] http://www.efsa.europa.eu/en/efsajournal/pub/91.htm [156] http://www.efsa.europa.eu/en/efsajournal/pub/268.htm [157] http://www.efsa.europa.eu/en/efsajournal/pub/564.htm [158] http://www.efsa.europa.eu/en/efsajournal/pub/572.htm [159] http://www.efsa.europa.eu/en/efsajournal/pub/611.htm [160] http://ec.europa.eu/food/fs/sc/oldcomm4/out33_en.pdf [161] http://www.efsa.europa.eu/en/efsajournal/pub/197.htm [162] http://ec.europa.eu/food/fs/sc/oldcomm4/out35_en.pdf [163] http://www.efsa.europa.eu/en/efsajournal/pub/366.htm [164] http://ec.europa.eu/food/fs/sc/scah/out39_en.pdf [165] http://www.efsa.europa.eu/en/efsajournal/pub/1667.htm [166] http://www.efsa.europa.eu/en/efsajournal/pub/1666.htm [167] http://ec.europa.eu/food/fs/sc/oldcomm4/out30_en.pdf [168] http://ec.europa.eu/food/fs/sc/scah/out08_en.html [169] http://www.efsa.europa.eu/en/efsajournal/pub/45.htm [170] http://www.efsa.europa.eu/en/efsajournal/pub/326.htm [171] http://ec.europa.eu/food/fs/sc/scah/out35_en.html [172] http://ec.europa.eu/food/fs/sc/scah/out71_en.pdf [173] http://www.efsa.europa.eu/en/efsajournal/doc/44.pdf [174] http://www.efsa.europa.eu/en/efsajournal/pub/122.htm [175] http://www.efsa.europa.eu/en/efsajournal/pub/1966.htm [176] http://ec.europa.eu/food/fs/sc/scah/out83_en.pdf [177] http://www.efsa.europa.eu/en/efsajournal/pub/292.htm [178] http://www.efsa.europa.eu/en/efsajournal/pub/610.htm [179] EFSA = there is scientific opinions available from the
European Food Safety Authority pointing out welfare problems [180] SCAHAW = Scientific Committee for Animal Health and
Animal Welfare which was providing EU scientific risk assessment before the
EFSA was established. [181] See in particular Question 3 on the EU research funding
and Question 7 on financial resources. [182] The programme is actually organised over a two-years
period. [183] For more information on promotion campaigns financed by
the EU see Report on the application of Council Regulation (EC) No 3/2008 on
information provision and promotion measures for agricultural products on the
internal market and in third countries COM(2010) 692 final [184] The rest is co-financed by the sectors or/and national
authorities. [185] Commission Regulation (EC) No 501/2008 of 5 June 2008
laying down detailed rules for the application of Council Regulation (EC) No
3/2008 on information provision and promotion measures for agricultural
products on the internal market and in third countries. [186] Research funding is in fact provided for longer periods
(framework programmes). [187] http://ecvam.jrc.it/ [188] RSPCA has designed a number of animal welfare indicators
for the UK, cf. "The welfare state: five years measuring animal welfare in
the UK 2005-2009":http://www.rspca.org.uk/in-action/whatwedo/animalwelfareindicators [189] Data submitted by Member States to the Commission
pursuant to Commission Decision 2006/778/EC. [190] http://ec.europa.eu/food/fvo/index_en.cfm [191] Development of guidelines could be envisaged for species
that are covered by the general animal welfare directive (98/58/EC) but not
subject to specific provisions. [192] http://ec.europa.eu/food/training_strategy/index_en.htm [193] DG AGRI has already listed more than 400 certification
schemes on agricultural products but there is presently no system for consumers
in order to help them to know what is the actual rating of each scheme
regarding the animal welfare aspects (when applicable). See: http://ec.europa.eu/agriculture/quality/certification/index_en.htm
[194] Farmland is a website aimed at raising awareness on
animal welfare for children. See: http://www.farmland-thegame.eu/
[195] Commission Directive 2002/4/EC on the registration of
establishments keeping laying hens, covered by Council Directive 1999/74/EC. [196] it does not apply to processed
eggs or to eggs for further processing [197] Labelling food from farm animals, method of production
labels for the European Union from the Farm Animal Welfare Forum (CIWF, FAI,
RSCPCA, The Cooperative Food, Soil Association, University of Bristol and
WSPA). [198] See for example ‘Are labels the answer? Barriers to
buying higher animal welfare products. A report for Defra’ (September 2010) [199] COM(2009)584final see: http://ec.europa.eu/food/animal/welfare/farm/docs/options_animal_welfare_labelling_report_en.pdf [200] Regulation (EC) No 882/2004 of the European Parliament
and of the Council of 29 April 2004 on official controls performed to ensure
the verification of compliance with feed and food law, animal health and animal
welfare rules (OJ L 165, 30.4.2004, p. 1). [201] http://www.scar-cwg-ahw.org/ [202] http://www.scar-cwg-ahw.org/?page_id=146 [203] http://www.welfarequality.net/everyone/26536/5/0/22 [204] Regulation (EC) No 178/2002 laying down the general
principles and requirements of food law, establishing the European Food Safety
Authority and laying down procedures in matters of food safety. [205] See the evaluation report in 2008 New Zealand
constituted 85% of sheep and goat meat importations with 226.000 tonnes (out of
265.000 tonnes). [206] For more on New Zealand animal welfare standards: http://www.biosecurity.govt.nz/animal-welfare/ [207] Today equivalent requirements are only needed for
importing to the EU in relation to the protection of animals at the time of
slaughter. [208] COM(2009)591. [209] For production costs in eggs and broilers see the 2010
study "The poultry and egg sectors: evaluation of the current market
situation and future prospects" published by the European Parliament. [210] SANCO/02, [211] See "Food prices in
Europe" COM(2008) 821
final. [212]
http://www.telegraph.co.uk/finance/newsbysector/retailandconsumer/8187435/Tesco-increases-market-share.html# [213]
http://ar2010.tescoplc.com/~/media/Files/T/Tesco-Annual-Report-2009/Attachments/pdf/tesco-annualreport.pdf [214] Ibid. [215] Ibid. [216] http://cr2010.tescoplc.com/ [217] http://www.tescofarming.com/farm_animal_initiative.asp [218] http://www.tescofarming.com/standards.asp [219]
http://www.bordbia.ie/eventsnews/ConferencePresentations/FoodDrinksIndustryDayCountryOverviews/Italy%20Market%20Overview.pdf [220]
http://www.e-coop.it/CoopRepository/COOP/CoopItalia/file/fil00000084084.pdf [221] Ibid. [222] Ibid. [223]
http://www.e-coop.it/portalWeb/stat/docPortaleCanali/doc00000086356/true/true/coop-e-le-uova.dhtml [224]
http://www.co-operative.coop/corporate/aboutus/ourhistory/2001present/ [225]
http://www.co-operative.coop/Corporate/PDFs/Interim-Report-2010.pdf [226]
http://www.co-operative.coop/Corporate/PDFs/Interim-Report-2009.pdf [227] http://www.co-operative.coop/corporate/aboutus/ourhistory/2001present/ [228]
http://www.co-operative.coop/corporate/aboutus/ourhistory/2001present/ [229]
http://www.co-operative.coop/corporate/ethicsinaction/animal-welfare/ [230]
http://www.co-operative.coop/corporate/ethicsinaction/animal-welfare/cruelty-free/ [231]
http://www.dailymail.co.uk/news/article-1346802/Tesco-blames-bad-weather-sales-Sainsburys-reports-best-Christmas.html [232]
http://www.j-sainsbury.co.uk/ar10/businessreview/financialreview3.shtml [233] http://www.j-sainsbury.com/ar09/downloads/pdf/sainsbury_ar2009_notes_to_the_financial_statements.pdf [234] http://www.j-sainsbury.co.uk/index.asp?pageid=189 [235] http://www.j-sainsbury.co.uk/cr/index.asp?pageid=46 [236] http://www.rewe-group.com/unternehmen/zahlen-fakten/ [237] http://www.rewe-group.com/unternehmen/ueberuns/ [238] http://www.rewe.de/index.php?id=1608 [239]
http://www.wikinvest.com/stock/Wendy's_International_(WEN) [240]
http://www.wikinvest.com/stock/McDonald%27s_(MCD)#_note-16 [241] http://www.aboutmcdonalds.com/mcd/our_company.html [242] http://www.wikinvest.com/stock/McDonald%27s_(MCD)#_note-16 [243] http://www.mcdonalds.ca/en/aboutus/values.aspx [244] http://www.flagshipfarms.eu/animalwelfare.php [245] http://www.flagshipfarms.eu/case2.php [246] http://www.aboutmcdonalds.com/mcd/csr/report/sustainable_supply_chain/our_approach/mcdonald_s_europe_maap_flagship_farms.html [247] http://www.aboutmcdonalds.com/etc/medialib/csr/docs.Par.85655.File.dat/McD_AnimalWelfareGuidingPrinciples.pdf [248]
http://www.wikinvest.com/stock/Wendy's_International_(WEN) [249] http://www.wikinvest.com/wiki/Burger_King [250] http://services.corporate-ir.net/SEC.Enhanced/SecCapsule.aspx?c=87140&fid=7105569 [251] Ibid. [252]
http://www.bk.com/cms/en/us/cms_out/digital_assets/files/pages/BK_CR_Report_Environment.pdf [253]
http://www.unilever.com/aboutus/introductiontounilever/unileverataglance/?WT.LHNAV=Unilever_facts [254]
http://www.unilever.com/images/ir_Unilever_factsheet_2010_tcm13-70889.pdf [255]
http://www.unilever.com/images/ir_7_Financial_statements_AR09_tcm13-208078.pdf [256] http://www.unilever.com/aboutus/?WT.GNAV=About_us [257] http://www.unilever.com/aboutus/introductiontounilever/ [258]
http://www.swedishwire.com/business/6208-ikea-ranked-28th-most-valuable-brand [259]
http://www.ikea.com/ms/en_US/pdf/yearly_summary/Welcome_inside_2010_update.pdf [260] Ibid. [261] http://www.ikea.com/ms/sv_SE/about_ikea/facts_and_figures/ikea_group_stores/index.html [262]
http://www.ikea.com/ms/en_GB/about_ikea/our_responsibility/partnerships/other_stakeholders.html [263]
http://www.danone.com/en/brands/business/fresh-dairy-products.html [264]
http://finance.danone.com/phoenix.zhtml?c=95168&p=irol-keyfigures [265]
http://finance.danone.com/phoenix.zhtml?c=95168&p=irol-keyfigures [266]
http://www.danoneetvous.com/Nos-engagements/Nos-eleveurs-et-Vous/On-s-engage/Notre-demarche/Developpement-environnemental