03-022
Interpretation of Agency Regulatory Authority Involving Pesticides Used in Connection with M-44 Cyanide Capsules for the Control of Certain Predatory Wild Animals in Nebraska
Cite as Neb. Op. Att'y Gen. No. 03-022
JON BRUNING
ATTORNEY GENERAL
SUBJECT:
STATE OF NEBRASKA
®ffice of tbe ~ttornep ~eneral
2115 STATE CAPITOL BUILDING
LINCOLN, NE 68509-8920
(402) 471 -2682
TOO (402) 471 -2682
CAPITOL FAX (402) 471-3297
K STREET FAX (402) 471-4725
NO.
STATE OF NEBRASKA
OFFICIAL
AVG 11 260$
DEPT. OF JUSTIC~...;.,J
RECEIVED
AUG 1 1 2003
NE DEPt OF AGRICULTURE
Interpretation of Agency Regulatory Authority Involving Pesticides
Used in Connection with M-44 Cyanide Capsules for the Control of
Certain Predatory Wild Animals in Nebraska
REQUESTED BY: Merlyn Carlson, Director, Nebraska Department of Agriculture
Rex Amack, Director, Nebraska Game and Parks Commission
WRITTEN BY:
Jon Bruning, Attorney General
Jason W. Hayes, Assistant Attorney General
You have requested an opinion from the Attorney General to determine which
state agency has regulatory authority for setting restrictions on the use of the M-44
Cyanide Capsule device, a pesticide delivery mechanism. You make this request with
reference to two specific statutes, Neb. Rev. Stat. §§ 37-531 and 37-561 (Reissue
1998), and how the authority granted in those sections to regulate compare to the
provisions found in the Nebraska Pesticide Act, Neb. Rev. Stat. §§ 2-2622 to 2-2655
(Cum. Supp. 2002).
As background information, you stated the U.S. Department of Agriculture
Wildlife Service ('WLS') utilizes a spring loaded device in Nebraska called an "M-44
Cyanide Capsule" ('M-44') that delivers sodium cyanide to control certain predatory wild
animals. You also indicated the sodium cyanide used in the M-44 is a pesticide
registered with the Nebraska Department of Agriculture ('NDA'), that it carries a label
approved by the U.S. Environmental Protection Agency ('EPA'), and it is a pesticide
Printed with soy Ink on recycled paper
Merlyn Carlson, Rex Amack
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legally used under the authority of the NDA, so long as the labeling guidelines are
adhered to by the user.
Primarily, you are concerned about a possible statutory conflict occurring
because§§ 37-531 and 37-561 refer to a pesticide delivery device, similar in use to the
M-44, that requires a more stringent use requirement than the use requirements
required under both the Nebraska Pesticide Act and the EPA M-44 Use Restrictions,
found in EPA Registration No. 56228-15.
You suggest that these separate use
requirements conflict because the regulations require different spacing distances of the
devices from roads, and different requirements for the number of notice postings in the
immediate area surrounding each individual device.
As it relates to your concern regarding the different pesticide use requirements,
you are requesting a response to each of the following questions:
1.
Does the regulation of M-44 devices fall entirely under the EPA and NDA
statutes and regulations, or do the provisions found in Neb. Rev. Stat. §§
37-531 and 37-561 also apply to the M-44 devices;
2.
Do the provisions found in Neb. Rev. Stat. § 37-561 conflict with the
provisions of the Nebraska Pesticide Act, and if there is a conflict should
the section be modified or repealed as a result; and,
3.
While the NDA is identified as the lead agency for the regulation of
pesticides in the Nebraska Pesticide Act (see Neb. Rev. Stat. § 2-2626),
does the Nebraska Game and Parks Commission also have the authority
to control M-44 devices that may be used to take wildlife, as it relates to
the authority granted in sections 37-301, 37-314, 37-353 and 37-561
relating to devices which were the predecessors of the M-44 device?
In order to provide a response to all three questions, it is important first to
determine if the M-44 Cyanide Capsule device comes under the definition of a trapping
device, as defined in Neb. Rev. Stat. §§ 37-561 and 37-531. These are the specific
sections you suggested may be in conflict with the Nebraska Pesticide Act, as it relates
to the use of the M-44. Section 37-531 provides:
Except as provided in section 37-561, it shall be unlawful to set or place any
explosive trap or device, operated by the use of poison gas or by the explosion
of gunpowder or other explosives, for the purpose of taking, stunning, or
destroying wild animals. Any person who sets or places any such trap or device,
except as is permitted in such section, shall be guilty of a Class Ill misdemeanor.
Merlyn Carlson, Rex Amack
\
Page -3-
Neb. Rev. Stat. § 37-561 (Reissue 1998). (Emphasis added). As the section indicates,
except for the provisions contained in§ 37-561, it is unlawful to use an explosive trap or
device for the purpose of killing or taking wild animals.
Section 37-561 provides for the use of such explosive devices to destroy
predatory animals during the legal trapping season if certain precautions are met:
(1) It shall be lawful to use any device which (a) is operated by the explosion
of small amounts of gunpowder or other explosives, (b) is designed to
discharge poison into the mouth of a wolf, coyote, fox, wildcat, or other predatory
animals upon the grabbing or seizing of the bait attached to such device by such
predatory animals, (c) does not discharge any ball, slug, shot, or other missile,
and (d) does not endanger the life and limb of any human being or animal, other
than a predatory animal, during the legal trapping season for fur-bearing animals.
Such device may be used at any time by any agency of the commission or of the
federal government or by persons having the written permission of the
commission. Such lawful device when used shall be set not less than two
hundred yards from any federal, state, or approved county highway and not less
than one thousand yards from any school or from any inhabited dwelling without
written permission of the resident of the dwelling. Such device shall not be used
on another person's property without the written permission of the owner or
operator . ...
Neb. Rev. Stat.§ 37-561 . (Emphasis added).
Because the use of the word "and" is conjunctive in the definition of the device
regulated by this section, in order for a device to apply it must be "operated by the
explosion of small amounts of gunpowder or other explosives."
See Baker's
Supermarkets v. State, 248 Neb. 984, 993, 540 N.W.2d 574, 581 (1995). (When
construing a civil statute the word "and" when used properly is conjunctive in meaning
unless a strict reading would lead to an absurd or unreasonable result to defeat the
intent of the statute.
Penal statutes must be strictly construed).
Since § 37-531
provides for a Class Ill misdemeanor unless the provisions of§ 37-561 are followed,
§ 37-561 should be strictly construed as a penal statute, and the word "and" should be
considered conjunctive in its application.
It is important to recognize that the M-44 Cyanide Capsule device is a spring
loaded device, meaning the sodium cyanide is delivered by the use of a coiled spring.
According to the EPA's R.E.D. Facts on Sodium Cyanide, the M-44 is operated in the
following manner:
Merlyn Carlson, Rex Amack
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The sodium cyanide capsule is loaded into a capsule holder which is screwed
onto the ejector mechanism of an M-44 device. The capsule holder is then
treated with a scent formulated to attract canids. When an animal tugs at the
capsule holder, a spring driver plunger ejects the sodium cyanide capsule into its
mouth. Sodium cyanide causes death by inhibiting enzyme reactions in
mammals that prevent oxygen flow to the blood.
EPA-738-F-94-016 (September, 1994).
As you indicated in your request, sodium cyanide devices in operation prior to the
introduction of the M-44 device used explosives to operate its poison delivery
mechanism. However, unlike its predecessors the M-44 was designed to use a spring
loaded mechanism rather than an explosive discharge. Therefore, sections 37-531 and
37-561 , within their respective definition of devices covered, neither restrict nor regulate
the use of the M-44 devices because each section specifically only regulates and
restricts the use of explosive discharge devices and not spring loaded devices such as
the M-44.
Given our finding that an M-44 Cyanide Capsule device is not covered by either
§§ 37-531 or 37-561 , we will now address each specific question raised in your opinion
request in light of this result.
1.
Does the regulation of M-44 devices fall entirely under the EPA and NDA
statutes and regulations, or do the provisions found in Neb. Rev. Stat.
§§ 3·7-531 and 37-561 also apply to the M-44 devices?
For the reasons indicated above, the regulation of the M-44 Cyanide Capsule
device, which utilizes a spring loaded delivery mechanism, is within the regulation
authority of both the EPA as indicated in the M-44 Use Restrictions, EPA Registration
No. 56228-15, and the NDA as granted in the Nebraska Pesticide Act, Neb. Rev. Stat.
§§ 2-2622 to 2-2655.
The EPA provides use requirements for the M-44 included within its M-44 Use
Restrictions, EPA Registration No. 56228-15. In part, these use requirements mandate
that the "M-44 devices shall only be used on or within 7 miles of a ranch unit of
allotment where losses due to predation by wild canids are occurring or where losses
can be reasonably expected to occur based upon recurrent prior experience of
predation on the ranch unit or allotment." The provision also requires, "the M-44 device
shall be placed at least at a 50-foot distance or at such a greater distance from any
public road or pathway as may be necessary to remove it from sight of persons and
domestic animals using such public road or pathway." /d.
Merlyn Carlson, Rex Amack
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In addition, the Nebraska Pesticide Act provides for the regulation, use and
restriction of pesticides within the State of Nebraska. The Act grants the NDA the
authority, "to administer, implement and enforce the Pesticide Act and serve as the lead
state agency for the regulation of pesticides." Neb. Rev. Stat. § 2-2626 (Cum. Supp.
2002). The NDA also has the authority to adopt regulations pursuant to the Act on the
application and use of pesticides. Neb. Rev. Stat. § 2-2626(f). "Such regulations may
include methods to be used in the application of restricted-use pesticides, may relate to
time, place, manner, methods, materials, amounts, and concentration in connection with
the use of the pesticide, may restrict or prohibit use of the pesticides in designated
areas during specified periods of time ... " /d.
2.
Do the provisions found in Neb. Rev. Stat. § 37-561 conflict with the
provisions of the Nebraska Pesticide Act, and if there is a conflict should
the section be modified or repealed as a result?
As your question relates to the use of the M-44 device, § 37-561 does not conflict
with the NDA's ability to regulate the M~4 and the use of sodium cyanide in connection
with the device, under the Nebraska Pesticide Act.
The only modification that the
Legislature may choose to consider is including within the definition of a device
contained in both §§ 37-561 and 37-531, additional language so as to have the
provision apply also to spring loaded mechanisms such as the M-44. This modification
is necessary if the Legislature determines that such devices should be covered under
the provisions found in §§ 37-561 and 37-531 . However, if the sections are no longer
appropriate given the possible phase out of explosive pesticide delivery devices, then
repealing§§ 37-561 and 37-531 may also be a consideration.
3.
While the NDA is identified as the lead agency for the regulation of
pesticides in the Nebraska Pesticide Act, does the Nebraska Game and
Parks Commission also have the authority to control M-44 devices that may
be used to take wildlife, as it relates to the authority granted in sections 37-
301, 37-314, 37-353 and 37-561 relating to devices which were the
predecessors of the M-44 device?
The Nebraska Game and Parks Commission ('GPC') does have the authority to
regulate M-44 devices, if such devices are used to hunt or fur-harvest game animals.
Section 37-314(1) provides:
The commission may, in accordance with the Game Law, other provisions of law,
and lawful rules and regulations, fix, prescribe, and publish rules and regulations
as to ... bag limits or the methods or type, kind, and specifications of hunting,
fur-harvesting ... used in the taking of any game, game fish, nongame fish,
game animals, fur-bearing animals, or game birds, as to the age, sex, species, or
Merlyn Carlson, Rex Amack
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area of the state in which any game, game fish, nongame fish, game animals,
fur-bearing animals, or game birds may be taken, or as to the taking of any
particular kinds, species, or sizes of game, game fish, nongame fish, game
animals, fur-bearing animals, and game birds in any designated waters or areas
of this state ...
Neb. Rev. Stat. § 37-314(1) (Cum. Supp. 2002). This section gives the GPC the
authority to adopt rules and regulations with regard to the methods or type, kind, and
specifications of hunting and fur-harvesting wild animals.
But such rules and
regulations must be in accordance with other provisions of law, such as the provisions
found in the Nebraska Pesticide Act.
In order for§ 37-314(1) to apply and enable the GPC to regulate M-44 devices,
then for the purposes of the statute a wild canid would have to be considered a game or
fur-bearing animal, and the act of using the M-44 device would have to be considered a
type of hunting or fur-harvesting act upon a game or fur-bearing animal. To the extent
that such regulation is written to specifically cover game or fur-bearing animals, during
instances where the M-44 device is used specifically for hunting or fur-harvesting
purposes, then the GPC could regulate the use of the M-44 device under the provisions
found in§ 37-314(1).
Sincerely,
son
. Hayes
Assistant Attorney General
Approved:
02-030-23