NASDA BSE, CWD, SCRAPIE, TSE, PRION, Policy Statements updated with 
amendments passed during the NASDA Annual Meeting Updated September 18, 2014 
Greetings NASDA et al, 
with regards to ;
NASDA Policy Statements 
Updated September 18, 2014 Downloaded September 18, 2014 NASDA Policy 
Statements updated with amendments passed during the 2014 NASDA Annual 
Meeting
snip...
1.2.6 Wild and Exotic Animals
The unregulated, or inadequately regulated importation, commercialization, 
interstate movement and reintroduction of wild and exotic animals, including 
Cervidae and other wild and exotic ungulate species, poses a disease risk to 
domestic livestock. Even the barter and sale of surplus animals from quarantined 
zoos could result in the dissemination of diseases presently foreign to the 
domestic livestock. There is a need within the United States to address all 11 
NASDA Policy Statements
susceptible animal species in disease control regulations. USDA should 
obtain authority over all animal species in order to provide for adequate 
control measures. The failure to do so will jeopardize the success of national 
disease eradication programs.
Non-indigenous ticks are entering the United States with imported 
“wildlife” such as lizards, snakes and tortoises, which are imported for the pet 
trade. These ticks threaten cattle and wildlife by possible transmission of 
diseases that could cause great economic hardships to agriculture and inhibit 
foreign trade. Apparently no federal agency has responsibility for the 
inspection and control of these invasive pests as they arrive on “wildlife” from 
countries with known infestations of dangerous foreign diseases. Few acaricides 
have been approved for treatment inside the United States of these “wildlife” 
for the pests. NASDA encourages the USDA and all other agencies to work closely 
with foreign governments, with frequent interchanges of information and 
technical assistance between countries, so that the prevention/eradication 
efforts and elimination from all animals being exported can be coordinated with 
prevention/eradication of these pests in the United States. NASDA urges that 
APHIS and the U.S. Fish and Wildlife Service take all necessary measures to 
prevent the introduction of non-indigenous ticks into the United States.
1.2.7 Disposal of Animal Carcasses and Animal Parts
Significant animal mortalities from natural disasters as well as recent 
outbreaks of infectious animal diseases such as Avian influenza demand 
expeditious and appropriate disposal of animal carcasses in a manner that will 
prevent disease spread, prevent excessive air emissions and prevent ground water 
and environmental contamination by infectious agents or by the byproducts of 
decomposition. State and federal agencies must have protocols, authorities and 
approvals in place for appropriate animal carcass disposal prior to, and not 
after, emergency disease or emergency mortality events. NASDA supports the 
development of a national coordinated carcass and SRM disposal / utilization 
plan / guidance that will enable states to be better prepared to address 
emergency and routine livestock disposal while protecting both public health and 
the environment.
Accurate identification of animals and products, traceability, and 
documentation of events is essential to ensure appropriate measures. In 
addition, adequate laboratory and diagnostic capabilities as well as essential 
interagency real time communication of critical information are important 
elements for animal carcass disposal. States must have necessary statutory 
authorities to deal with proper disposal of affected agricultural materials from 
either disease or other disaster incidences whether from imported or domestic 
animal production.
NASDA will work to formulate and gain approval from all agriculture and 
environmental agencies of appropriate protocols for permit sanitary carcass 
disposal; to provide effective systems of identification; to promulgate needed 
authority in model language; to authorize needed resources and laboratory and 
diagnostics capacities; and to effectively incorporate interagency communication 
agreements. 12
NASDA Policy Statements
1.2.8 Emergency Disease Preparedness/Response
Government infrastructure for emergency animal disease preparedness has 
decreased significantly at both the state and national levels. This has led to 
serious concerns regarding our ability to control and eradicate foreign animal 
and poultry diseases in the United States. The economic and trade implications 
are enormous.
Successful strategies for emergency disease preparedness will require the 
combined cooperative effort of industry, government, and academia. USDA, the 
states, and regional groups must work in concert to improve communications and 
to prepare for dealing with emergencies involving the introduction of foreign 
animal or poultry diseases. NASDA supports the Animal Health Protection Act 
(AHPA) introduced in Congress in 2000. The AHPA would be a powerful tool for 
safeguarding the United States from dangerous incursions by granting the USDA 
broader authority. Appropriate funding must be available to carry out an 
effective emergency disease response program.
The National Veterinary Services Laboratory (NVSL) provides vital support 
for the animal health programs of the Animal & Plant Health Inspection 
Service (APHIS). The NVSL plays a crucial role in safeguarding the agriculture 
of the United States from harmful disease events. Because of its importance in 
protecting American agriculture, NASDA supports funding for necessary upgrades 
to the NVSL Ames, Iowa, facility.
The heightened awareness of foreign animal diseases due to natural events 
as well as intentional introductions has been met with like attention to the 
needs of appropriate funding and infrastructure to implement an effective 
emergency disease response program.
Although the threat for introducing any foreign animal disease into the US 
is high, the spread of Chronic Wasting Disease (CWD) poses the most immediate 
threat in the US, as well as multifaceted challenges that impact State 
Departments of Agriculture, Natural Resources, animal diagnostic laboratories, 
the farmed cervid industry, deer processors and hunters:
• The health of captive herds must be carefully monitored to protect the 
economic future of the captive cervid industry
• Surveillance of the free roaming cervid population must be conducted to 
determine the prevalence and spread of the disease.
• Hunters must have a means of determining whether the animals they harvest 
are free of disease.
• The annual deer harvest must be sufficient to control population.
• Licensed deer processors require assurance of the disease status of 
hunter-killed deer in order to protect conditions in their facilities. 13
NASDA Policy Statements
Central to the challenges is the need for reliable, rapid diagnostic 
testing for CWD. Current restrictions on state testing do not promote the 
broad-based, rapid testing necessary to meet potential demand. USDA’s National 
Veterinary Services Laboratory (NVSL) conducts CWD surveillance, but is not 
equipped to provide the fast-turn around testing service required by hunters and 
processors and necessary to support programs of the Departments of Agriculture 
and Natural Resources. The current timetable for CWD results at NVSL is two to 
four weeks.
State laboratories must be able to provide CWD testing service. 
The majority of state-run diagnostic laboratories are prohibited from 
possessing reagents necessary to run the tests. A limited number of laboratories 
recently authorized under contract with NVSL are required to use specific 
equipment (Ventana) and protocols established by NVSL. Non-contract laboratories 
that own and use quality immunohistochemistry stainers capable of producing 
accurate CWD test results must purchase a $45,000 Ventana immunohistochemistry 
stainer and a host of expensive commodities to be recognized by NVSL. NASDA 
acknowledges that prevention, containment and eradication of foreign animal 
diseases will require cooperative efforts of federal and state governments, 
industry, and academia. Further, NASDA urges USDA to: 
• Expand the authorities of state-run diagnostic labs to conduct tests for 
foreign animal diseases, including CWD: 
• Implementation of appropriate protocols to enhance the nation’s 
infrastructure to address foreign animal diseases, including accepting test 
results from laboratories that utilize systems other than Ventana, which produce 
accurate foreign animal disease test results. 
1.2.9 Bovine Spongiform Encephalopathy Bovine Spongiform Encephalopathy 
(BSE) in livestock has gained much of the world’s attention with its 
identification in Western and Eastern Europe, Israel, Japan and North America. 
BSE and other TSEs are considered serious animal health concerns. BSE has also 
become a public health issue as a result of the connection that has been made 
between BSE in cattle and variant Creutzfeld-Jakob Disease (vCJD) in humans. 
Public confidence in the beef supply is potentially affected each time another 
case of BSE in cattle is identified. Many questions remain that can only be 
resolved through further research, on-going evaluation and assessing the risks 
involved. Maintaining an adequate food safety system while additional knowledge 
is obtained remains a primary objective. 
NASDA supports a policy which assures that the U. S. actions are supported 
by the best available science–a policy that embraces research as a method to 
advance current knowledge and understanding, is based on risk analysis, is able 
to assure the consuming public that the beef supply is safe because of the 
actions taken by U. S. public agencies and is fair to U. S. beef producers. 
Within this context, NASDA supports— 
• Development of a feed ban based on the best available science and is 
enforceable. 14 NASDA Policy Statements 
• Increased research – especially to develop an in vitro testing procedure 
that is rapid, accurate, and cost efficient, further analysis of other possible 
methods of transmission of the disease in cattle (e. g., blood/tissue), other 
possible avenues of transmission to humans, disposal options for SRM, 
infectivity of tissue from animals under 30 months of age, develop and implement 
effective methods for inactivation of transmissible spongiform encephalopathy 
(TSE) agents, further determination of pathways by which the agent causes the 
disease. 
• Risk assessment – determine options for proper actions based on risk 
assessment. 
• Normalization of trade and consideration of regionalized barriers, where 
appropriate, to minimize the overall effect on U. S. producers while regional 
issues are worked out. Regionalization areas may be across international 
borders. • An emphasis on developing whatever is needed to allow the U. S. to 
qualify for better than minimal risk status with our trading partners. • The 
need for an animal ID system that is operational as soon as practical. • 
Harmonization of all animal health standards. Harmonization of BSE Standards 
while avoiding reaching agreement on other standards is not generally recognized 
as free trade in the U. S. No feeder cattle should be allowed to be imported 
until agreement is reached on harmonization of other animal health standards, 
especially bluetongue, anaplasmosis, brucellosis, and tuberculosis. 
• NASDA realizes there is no such thing as a no cost policy-if the U. S. 
needs to take actions to assure eradication in a reasonable timeframe, NASDA 
believes that affected sectors of the industry (e.g., renderers, perhaps others) 
should be assisted to assure compliance is reached as reasonably as possible. 
• Surveillance programs that assure the U. S. is compliant with OIE 
Standards and that go beyond compliance where such actions can lead to the 
removal of infected animals from the U. S. herd (e.g., due diligence on 
trace-forwards, trace-backs and cohorts). 1.2.10 Animal Disease Eradication and 
Control The completion of several disease control programs of significance to 
the economic viability of livestock production agriculture in the United States 
is nearing. Bovine tuberculosis, bovine brucellosis, swine brucellosis and 
pseudorabies are examples of diseases that will likely be eradicated from 
domestic livestock. Funding cuts and other resource constraints threaten the 
ability of USDA, specifically the Animal and Plant Health Inspection Service 
(APHIS), to complete these important programs. As international trade has 
increased, the threat of an outbreak of a foreign animal disease in the United 
States has also increased. Such an outbreak would disrupt production of food 
animals, 15 NASDA Policy Statements interrupt the domestic meat and poultry 
supply, adversely affect food processing, marketing and the distribution chain, 
and cause the loss of export markets for United States livestock and livestock 
products. The loss to the United States would be billions of dollars in trade of 
agricultural products. NASDA encourages APHIS to accept the DNA test in sheep, 
proven by ARS researchers as well as scientists in Great Britain as reliable, in 
determining scrapie susceptibility. NASDA believes that disease control programs 
are essential if eradication of animal and poultry diseases and the prevention 
of the introduction or outbreak of foreign or domestic diseases is to be 
successful. Priority should be given to programs whose efforts are aimed at 
preventing the outbreak of animal health diseases and protecting our nation’s 
domestic livestock from foreign diseases. Valid tests should also be developed 
to properly detect diseases that pose a risk to animal health. Some animal 
health diseases that require specific attention are: 
• Avian Influenza 
• Bluetongue 
• Brucellosis 
• Johnes Disease 
• Pseudorabies 
• Raccoon Strain Rabies 
• Scrapie 
• Tuberculosis 
• Vesicular Stomatitis 
• Chronic Wasting Disease 
• Anaplasmosis 
• West Nile Viral Encephalitis 
Sufficient resources should be made available for such programs so that the 
appropriate agencies can provide indemnity to owners of diseased livestock, 
which will encourage the elimination of remaining infected herds, and maintain 
an adequate number of animal health professionals able to respond to animal 
health issues. 
NASDA believes that any comprehensive program to control or eradicate 
disease from domestic livestock should include provisions for testing, 
quarantining exposed animals, and indemnifying diseased animals. All susceptible 
species should be included in regulations addressing disease control, including 
non-livestock species that can harbor and/or transmit diseases of concern. 16 
NASDA Policy Statements Historically, animal disease eradication and 
control programs have been cooperative state/federal programs and should 
continue to be cooperative state/federal programs. APHIS has published a 
proposed rule that would codify a standardized cost sharing formula for animal 
disease and plant pest and disease emergency eradication programs that are 
conducted cooperatively with states. Unfortunately, expanding world trade and 
the threat of bioterrorism have increased the risk of destructive pests and 
diseases being introduced into the United States. 
The United States Department of Agriculture (USDA) is the federal agency 
statutorily charged with preventing the introduction, spread and establishment 
of plant pests and diseases, noxious weeds and pests and diseases of livestock 
in the United States. States are not federally mandated to partner with USDA in 
this endeavor yet have historically done so with great success. Developing a 
plan on how the United States Department of Agriculture should respond to 
emergencies is not without merit. In fact, NASDA's Animal Health Safeguarding 
Review and the Safeguarding American Plant Resources Review conducted by the 
National Plant Board contain recommendations that would facilitate the kind of 
out year planning envisioned in the proposed rule. Emergency programs relating 
to animal and plant health by their very nature, however, do not accommodate a 
"one size fits all" approach. While some suggest a cost share formula would 
yield savings to the Federal Government in future years, it will actually result 
in quite the opposite for states, who are already bearing significant costs 
associated with plant and animal pest and diseases that are not detected at the 
border. NASDA urges USDA to withdraw the proposed rule and work with states 
toward the development of a joint system for the early detection and eradication 
of plant and animal pests and diseases. 
NASDA's Animal Health Safeguarding Review and the Safeguarding American 
Plant Resources Review would provide a sound footing for the development of a 
science based rule that combines the unique abilities of each partner. NASDA 
discourages attempts to construct meaningful eradication programs around 
budgetary decisions. 
1.2.11 Homeland Security and Agriculture NASDA strongly supports the pest 
exclusion mission area known as Agricultural Quarantine Inspection (AQI) at the 
nation’s ports of entry that serve to protect our domestic agriculture industry 
from a foreign pest or disease incursion. After the events of September 11, 2001 
and the anthrax incidents that followed, AQI functions were transferred from the 
United States Department of Agriculture (USDA) to the newly created Department 
of Homeland Security ("DHS") in an effort to consolidate all governmental 
functions that protect the nation against threats to the homeland into one 
agency. 
NASDA strongly supports the mission and efforts of DHS to prevent 
terrorists and terrorist weapons from entering the United States. While the 
prevention of terrorists and terrorist weapons from entering the United States 
is vital to the security of the nation, so too, is the protection of the 
nation's food supply, our agricultural economy, and animal health. Introductions 
of foreign animal diseases, such as Exotic Newcastle Disease and emerging 
diseases, such as West Nile Virus, Avian Influenza and Chronic Wasting 17 
NASDA Policy Statements 
Disease, are of great concern to the nation’s livestock and animal 
producers and could cause significant impacts to the nation’s agricultural 
economy. Unfortunately, since the AQI transfer, pest and disease introductions 
have increased dramatically. It is clear that DHS’ administration of the AQI 
program lacks efficacy and currently there are no performance measures relative 
to AQI functions that DHS must meet to ensure the resources that DHS receives to 
protect the U.S. domestic agriculture sector are being utilized for this 
purpose. In addition, in order for AQI to remain effective while housed at DHS, 
it was essential that DHS and APHIS establish a consistent and clear 
communication structure that provides for problem resolution with built-in 
accountability in order to provide the greatest degree of risk reduction. 
Unfortunately, DHS’ mission is so broad that AQI is not viewed within the agency 
as a critical function either in terms of staffing or funding. Therefore, NASDA 
supports the re-assignment of the AQI mission area back to USDA APHIS given that 
they have the expertise to carry out a focused, coordinated and effective 
agricultural safeguarding effort and are statutorily charged with managing 
exotic pests and diseases. 
NASDA urges that increased emphasis be placed on the mission of 
safeguarding agriculture and strongly supports the immediate adoption of 
quantifiable performance measures for AQI functions to ensure the program is 
meeting the statutory mission for which it was created – protecting American 
agriculture from a foreign plant or animal pest or disease. These performance 
measures should consider the interdiction, control, eradication and suppression 
costs borne by state and local governments for foreign pests and diseases that 
AQI fails to interdict at the ports of entry. These costs shall be assessed to 
the budget of the parent department of AQI. In addition, NASDA urges DHS’ Office 
of Domestic Preparedness to provide specific funding opportunities to state 
departments of agriculture for local preparedness similar to grants provided to 
state departments of health. 
1.3 APHIS REORGANIZATION AND CONSOLIDATION 
USDA’s Animal and Plant Health Inspection Service (APHIS) consolidated the 
following offices — Veterinary Services (VS), Plant Protection and Quarantine 
(PPQ), Wildlife Services, Animal Care, and Investigations and Enforcement 
Services — into two regional offices. The consolidation streamlined the 
administration of programs, permitted cross utilization of personnel, and made 
the agency more responsive to the needs of the states and their constituencies. 
NASDA commends APHIS for its efforts to seek efficiency within the federal 
government and to improve satisfaction of its constituencies. We recognize the 
importance of the consolidation of APHIS programs into eastern and western 
regional offices as a cost savings measure, while maintaining accessibility by 
customers and partners. NASDA recommends that, to prevent negative impacts on 
services, costs for future reorganizations should not be taken from operational 
programs, but from agency overhead savings. Further, NASDA recognizes that plant 
and animal health issues may not be similar within the consolidated regions and 
that current funding levels of programs in a particular region may be diminished 
due to priority setting as a result of the regional consolidation. 
NASDA urges APHIS 18 NASDA Policy Statements to consider the plant and 
animal health needs of the states within the current regional composition when 
allocating program funding. 
NASDA strongly supports increasing funding to PPQ Unit for the purpose of 
interception of illegal and smuggled food products that pose a direct threat to 
the food security of the United States of America and to homeland security. 
NASDA also strongly supports increasing APHIS’s ability to fine and 
prosecute offenders of United States’ agricultural import laws. 
NASDA also recognizes that the 48 inspectors that the PPQ Smuggling and 
Interdiction Program has for inspection of all imported food and agricultural 
products into the United States is severely inadequate and further poses a 
direct flaw in the United States’ ability to ensure food security and homeland 
security. 
1.4 ANIMAL DAMAGE CONTROL 
I kindly submit the following scientific update on the Transmissible 
Spongiform Encephalopathy TSE prion disease ;
DEFRA U.K. What is the risk of Chronic Wasting Disease CWD being introduced 
into Great Britain? A Qualitative Risk Assessment October 2012 
snip... 
In the USA, under the Food and Drug Administration’s BSE Feed Regulation 
(21 CFR 589.2000) most material (exceptions include milk, tallow, and gelatin) 
from deer and elk is prohibited for use in feed for ruminant animals. With 
regards to feed for non-ruminant animals, under FDA law, CWD positive deer may 
not be used for any animal feed or feed ingredients. For elk and deer considered 
at high risk for CWD, the FDA recommends that these animals do not enter the 
animal feed system. However, this recommendation is guidance and not a 
requirement by law. 
Animals considered at high risk for CWD include: 
1) animals from areas declared to be endemic for CWD and/or to be CWD 
eradication zones and 
2) deer and elk that at some time during the 60-month period prior to 
slaughter were in a captive herd that contained a CWD-positive animal. 
Therefore, in the USA, materials from cervids other than CWD positive 
animals may be used in animal feed and feed ingredients for non-ruminants. 
The amount of animal PAP that is of deer and/or elk origin imported from 
the USA to GB can not be determined, however, as it is not specified in TRACES. 
It may constitute a small percentage of the 8412 kilos of non-fish origin 
processed animal proteins that were imported from US into GB in 2011. 
Overall, therefore, it is considered there is a __greater than negligible 
risk___ that (nonruminant) animal feed and pet food containing deer and/or elk 
protein is imported into GB. 
There is uncertainty associated with this estimate given the lack of data 
on the amount of deer and/or elk protein possibly being imported in these 
products. 
snip... 
36% in 2007 (Almberg et al., 2011). In such areas, population declines of 
deer of up to 30 to 50% have been observed (Almberg et al., 2011). In areas of 
Colorado, the prevalence can be as high as 30% (EFSA, 2011). 
The clinical signs of CWD in affected adults are weight loss and 
behavioural changes that can span weeks or months (Williams, 2005). In addition, 
signs might include excessive salivation, behavioural alterations including a 
fixed stare and changes in interaction with other animals in the herd, and an 
altered stance (Williams, 2005). These signs are indistinguishable from cervids 
experimentally infected with bovine spongiform encephalopathy (BSE). 
Given this, if CWD was to be introduced into countries with BSE such as GB, 
for example, infected deer populations would need to be tested to differentiate 
if they were infected with CWD or BSE to minimise the risk of BSE entering the 
human food-chain via affected venison. 
snip... 
The rate of transmission of CWD has been reported to be as high as 30% and 
can approach 100% among captive animals in endemic areas (Safar et al., 2008). 
snip... 
In summary, in endemic areas, there is a medium probability that the soil 
and surrounding environment is contaminated with CWD prions and in a 
bioavailable form. In rural areas where CWD has not been reported and deer are 
present, there is a greater than negligible risk the soil is contaminated with 
CWD prion. 
snip... 
In summary, given the volume of tourists, hunters and servicemen moving 
between GB and North America, the probability of at least one person travelling 
to/from a CWD affected area and, in doing so, contaminating their clothing, 
footwear and/or equipment prior to arriving in GB is greater than negligible. 
For deer hunters, specifically, the risk is likely to be greater given the 
increased contact with deer and their environment. However, there is significant 
uncertainty associated with these estimates. 
snip... 
Therefore, it is considered that farmed and park deer may have a higher 
probability of exposure to CWD transferred to the environment than wild deer 
given the restricted habitat range and higher frequency of contact with tourists 
and returning GB residents. 
snip... 
NEW URL LINK ;
Docket APHIS-2007-0033 Docket Title Agricultural Bioterrorism Protection 
Act of 2002; Toxin List Docket Type Rulemaking APHIS Posted Apr 09 2009 7:13pm 
Docket APHIS-2007-0033 Docket Title Agricultural Bioterrorism Protection Act of 
2002; Biennial Review and Republication of the Select Agent and Toxin List 
Docket Type Rulemaking Document APHIS-2007-0033-0001 Document Title Agricultural 
Bioterrorism Protection Act of 2002; Biennial Review and Republication of the 
Select Agent and Toxin List Public Submission APHIS-2007-0033-0002.1 Public 
Submission Title Attachment to Singeltary comment 
Comment DOCKET APHIS-2007-0033 Agricultural Bioterrorism Protection Act of 
2002; Biennial Review and Republication of the Select Agent and Toxin List 
August, 29, 2007 
Greetings APHIS, 
I would kindly like to submit the following to ; 
DEPARTMENT OF AGRICULTURE Animal and Plant Health Inspection Service 
7 CFR Part 331 9 CFR Part 121 
Docket No. APHIS-2007-0033 RIN 0579-AC53 
This is my second submission to APHIS about Bioterrorism and the 
Transmissible Spongiform Encephalopathy TSE agent. My first submission was Mon, 
27 Jan 2003 15:54:57 -0600 Docket No: 02-088-1 RE-Agricultural Bioterrorism 
Protection Act of 2002 (see my old submission at bottom dated Subject: Docket 
No: 02-088-1 RE-Agricultural Bioterrorism Protection Act of 2002; Date: Mon, 27 
Jan 2003 15:54:57 -0600 From: "Terry S. Singeltary Sr." To: 
mhtml:%7B33B38F65-8D2E-434D-8F9B-8BDCD77D3066%7Dmid://00000328/!x-usc:mailto:reg 
). 
WHAT I am most concerned about is that ONLY BSE is listed as a dangerous 
toxin in the family of TSE. With the ever growing list of atypical TSE like 
atypical BSE BASE, and the atypical Scrapie Nor-98, and also the typical scrapie 
strains, and Chronic Wasting Disease CWD, why is it only BSE is listed ? 
I think that all of these TSE's should be listed with the BSE agent as a 
potential Biological weapon. With these atypical TSE, even more so, due to the 
fact the possibility of vertical and lateral transmission, unlike BSE (not 
documented to date to transmit that way). With the atypical BSE BASE being more 
virulent to humans than the typical BSE, why is it not listed ? 
WHY is the atypical Scrapie Nor-98, with this being a potential threat to 
not only animals, but humans as well, why is this not listed ? 
WHY is Chronic Wasting Disease CWD of deer and elk not listed, especially 
since CWD has transmitted to the bovine by inoculation to date, with oral 
studies still ongoing, and the fact the oral route would take much longer, would 
CWD wreck havoc on a countries economy too, let alone the very real potential 
for CWD to transmit to humans, why is CWD not listed as a Bio-toxin ? 
IF these terrorist are willing to walk into a mall and blow themselves up 
as a walking bomb, what is to keep them from exposing themselves to one of these 
deadly TSEs, and then going to a hospital and exposing many with CJD somehow. 
This may seem far fetched, but very possible. Why is CJD not listed ? 
IN short, and very simple, all you would have to do is change the BSE, to 
human and animal TSE, thus all bases would be covered. but in only including the 
BSE strain of TSE agent, I think you are only fooling yourselves, again. ... 
SOURCES 
snip.... 
 Elsevier Editorial System(tm) for The Lancet Infectious DiseasesManuscript 
DraftManuscript Number:Title: HUMAN and ANIMAL TSE Classifications i.e. mad 
cowdisease and the UKBSEnvCJD only theoryArticle Type: Personal 
ViewCorresponding Author: Mr. Terry S. Singeltary,Corresponding Author's 
Institution: naFirst Author: Terry S Singeltary, noneOrder of Authors: Terry S 
Singeltary, none; Terry S. SingeltaryAbstract: TSEs have been rampant in the USA 
for decades in manyspecies, and they all have been rendered and fed backto 
animals for human/animal consumption. I propose thatthe current diagnostic 
criteria for human TSEs onlyenhances and helps the spreading of human TSE from 
thecontinued belief of the UKBSEnvCJD only theory in 2007. 
snip...see full text 31 pages ; 
 Docket No: 02-088-1 RE-Agricultural Bioterrorism Protection Act of 2002; 
[TSS SUBMISSION ON POTENTIAL FOR BSE/TSE & FMD 'SUITCASE BOMBS'] - TSS 
1/27/03 (0) 
Docket Management 
Docket: 02N-0276 - Bioterrorism Preparedness; Registration of Food 
Facilities, Section 305 Comment Number: EC-254 [TSS SUBMISSION] 
Subject: Docket No: 02-088-1 RE-Agricultural Bioterrorism Protection Act of 
2002; Date: Mon, 27 Jan 2003 15:54:57 -0600 From: "Terry S. Singeltary Sr." To: 
[log in to unmask] Docket No: 02-088-1 
Title: Agricultural Bioterrorism Protection Act of 2002; Possession, Use, 
and Transfer of Biological Agents and Toxins 
 Greetings, 
i would like to kindly submit to this docket and warn of the potential for 
biological 'suitcase bombs' from civilian air-traffic populations from known 
BSE/FMD and other exotic animal disease pathogens coming into the USA. 
please be warned; 
Date: Thu, 21 Mar 2002 08:42:56 -0800 Reply-To: Bovine Spongiform 
Encephalopathy Sender: Bovine Spongiform Encephalopathy From: "Terry S. 
Singeltary Sr." Subject: USA SEALED BORDERS AND THE ''USCS'' (unspecified 
species coding system) MORE POTENTIAL B.S.eee 
Change in Disease Status of Greece With Regard to Foot-and-Mouth 
[Federal Register: March 21, 2002 (Volume 67, Number 55)] 
snip... 
Under Sec. 94.11, meat and other animal products of ruminants and swine, 
including ship stores, airplane meals, and baggage containing these meat or 
animal products, may not be imported into the United States except in accordance 
with Sec. 94.11 and the applicable requirements of the U.S. Department of 
Agriculture's Food Safety and Inspection Service at 9 CFR chapter III. 
snip... 
From an economic standpoint, the proposed rule would have little or no 
impact on U.S. animal stock and commodities. There are two reasons. First, the 
proposed rule would not remove other disease-based restrictions on the 
importation of ruminants or swine (and certain meat and other products from 
those animals) from Greece into the United States. Because bovine spongiform 
encephalopathy is considered to exist in Greece, the importation of ruminants 
and meat, meat products, and certain other products of ruminants that have been 
in Greece is prohibited. 
snip... 
 ======================== 
What are the U.S. imports of affected animals or animal products from the 
country? 
Very few products that would be of risk for transmission of BSE were 
imported into the US from Greece during 2000 or 2001 (January - April). Due to 
the above mentioned import ban, no live ruminants, ruminant meat, meal made from 
ruminants, or other high risk products from ruminants were imported from Greece 
during this time period. In 2001 (January - April), 3000 kg of enzymes and 
prepared enzymes and 5 kg of medicants containing antibiotics for veterinary use 
were imported. The data do not provide a species of origin code for these 
products, therefore they may not contain any ruminant product. 
Sources: World Trade Atlas 
What is the level of passenger traffic arriving in the United States from 
the affected country? 
Approximately 185,000 direct flights from Greece arrived to US airports in 
fiscal year 2000. Also, an unknown number of passengers from Greece arrived via 
indirect flights. 
Under APHIS-PPQ's agriculture quarantine inspection monitoring, 584 air 
passengers from Greece were sampled for items of agricultural interest in fiscal 
year 2000. Of these passengers, 14 carried meat (non-pork) items that could 
potentially transmit pathogens that cause BSE; most passengers carried from one 
to two kilograms (kg) of meat, although one passenger in November 1999 carried 
23 kg of meat in a suitcase. Florida, Massachusetts, and New York were the 
reported destinations of these passengers. None of the passengers with meat 
items reported plans to visit or work on a ranch or farm while in the US. 
Source: US Department of Transportation, and APHIS-PPQ Agricultural 
Quarantine Inspection data base 
 Greetings list members, 
i just cannot accept this; 
23 kg of meat in a suitcase (suitcase bomb...TSS) 
The data do not provide a species of origin code for these 
products, therefore they may not contain any ruminant product. 
what kind of statement is this? 
how stupid do they think we are? 
it could also very well mean that _all_ of it was ruminant based products ! 
Terry S. Singeltary Sr., Bacliff, Texas USA 
What is the level of passenger traffic arriving in the United States from 
Slovenia? 
There were no direct flights from Slovenia to the US in fiscal year 2000. 
APHIS-PPQ’s agriculture quarantine inspection monitoring sampled 27 air 
passengers from Slovenia for items of agricultural interest in fiscal year 2000. 
One of these 27 passengers was carrying two kilograms of a meat item that could 
potentially harbor pathogens that cause BSE. This passenger arrived to 
Elizabeth, New York, in June 2000 and declared no intention to visit a farm or 
ranch in the US. 
Source: US Department of Transportation, and APHIS-PPQ Agricultural 
Quarantine Inspection data base 
 What is the level of passenger traffic arriving in the United States from 
the affected country? 
A total of 45,438 passengers arrived in the US on direct flights from the 
Czech Republic in fiscal year 2000. It is likely that additional passengers 
originating in the Czech Republic traveled to the US on non-direct flights. 
As part of APHIS-PPQ’s Agriculture Quarantine Inspection Monitoring, 238 
air passengers from the Czech Republic were inspected for items of agricultural 
interest in fiscal year 2000. Of these, 10, or 4.2%, were found to be carrying a 
total of 17 kg of items that could potentially present a risk for BSE. None of 
the passengers with items reported plans to visit or work on a farm or ranch 
while in the US. 
Source: US Department of Transportation, and APHIS-PPQ Agricultural 
Quarantine Inspection data base 
 What are the US imports of affected animals or animal products from 
Austria? 
Between 1998 and June 2001, US imports from Austria included goat meat, 
animal feeds, and sausage. The sausage and animals feeds were from unspecified 
species. 
Source: World Trade Atlas 
snip... 
What is the level of passenger traffic arriving in the United States from 
Austria? 
A total of 168,598 passengers on direct flights from Austria arrived at US 
airports in fiscal year 2000. An undetermined number of passengers from Austria 
arrived in the US via indirect flights. 
Under APHIS-PPQ’s agricultural quarantine inspection monitoring, 565 air 
passengers from Austria were sampled for items of agricultural interest in 
fiscal year 2000. Ten (10) of these passengers, or 1.7 percent, carried a total 
of 23 kg meat (non-pork) items that could potentially harbor the pathogen(s) 
that cause BSE. None of these passengers from whom meat items were confiscated 
reported plans to visit or work on a ranch or farm during their visit to the US. 
Source: US Dept. of Transportation; APHIS-PPQ 
 Greetings FDA and public, 
if you go to the below site, and search all BSE known countries and check 
out their air traffic illegal meat they have confiscated, and check out the low 
number checked, compared to actual passenger traffic, would not take too much 
for some nut to bring in FMD/TSEs into the USA as a 'suitcase bomb'. 
[[Under APHIS-PPQ's agricultural quarantine inspection monitoring, 284 air 
passengers from Israel were sampled for items of agricultural interest in fiscal 
year 2001. Seven of these passengers, or 2 percent, carried a total of 11 kg of 
meat items that could potentially harbor the pathogen that causes BSE. None of 
these passengers from whom meat items were confiscated reported plans to visit 
or work on a ranch or farm during their visit to the U.S.]] 
if they were to have questioned the terrorist that bombed the Twin Towers 
with jets, if they were to have questioned them at flight school in the USA, i 
am sure that they would have said they did not intend to visit the Twin Towers 
as a flying bomb either. what am i thinking, they probably did ask this? stupid 
me. 
[[In 1999 a small amount of non-species specific meat and offal was 
imported and a small amount of fetal bovine serum (FBS) was also imported. FBS 
is considered to have a relatively low risk of transmitting BSE.]] 
more of the USA infamous 'non-species coding system', wonder how many of 
these species are capable of carrying a TSE? 
snip... 
A total of 524,401 passengers arrived on direct flights to the U.S. from 
Israel in fiscal year 2000. This number does not include passengers who arrived 
in the U.S. from Israel via indirect flights. 
Under APHIS-PPQ's agricultural quarantine inspection monitoring, 284 air 
passengers from Israel were sampled for items of agricultural interest in fiscal 
year 2001. Seven of these passengers, or 2 percent, carried a total of 11 kg of 
meat items that could potentially harbor the pathogen that causes BSE. None of 
these passengers from whom meat items were confiscated reported plans to visit 
or work on a ranch or farm during their visit to the U.S. 
 Source: U.S. Department of Transportation and APHIS-PPQ Agricultural 
Quarantine Inspection data base. 
What is the level of passenger traffic arriving in the United States from 
Japan? 
Approximately 6.84 million passengers on 29,826 direct flights from Japan 
arrived at US airports in fiscal year 2000. An undetermined number of passengers 
from Japan arrived in the US via indirect flights. 
Under APHIS-PPQ's agriculture quarantine inspection monitoring, 801 air 
passengers from Japan were sampled for items of agricultural interest in fiscal 
year 2000. Of these 801 passengers, 10 carried meat (non-pork) items that could 
potentially harbor the pathogen(s) that cause BSE; most passengers carried an 
average of 1.7 kilograms of meat. None of these passengers from whom meat items 
were confiscated reported plans to visit or work on a ranch or farm during their 
visit to the US. 
Source: US Department of Transportation, and APHIS-PPQ Agricultural 
Quarantine Inspection data base 
 What is the level of passenger traffic arriving in the United States from 
the affected country? 
A total of 3.3 million passengers arrived in the US on direct flights from 
Germany in 1998, although many of these passengers would not have originated in 
Germany. As part of APHIS-PPQ's Agriculture Quarantine Inspection Monitoring, 
8,247 air passengers from Germany were inspected for items of agricultural 
interest. Of these, 198, or 2.3%, were found to be carrying a total of 304 kg of 
items that could potentially present a risk for BSE. Thirty (30) of the 
passengers with items reported plans to visit or work on a farm or ranch while 
in the US. Reported destination states of these 30 passengers were CA, CO, DE, 
FL, LA, MT, OH, VA, and WY. 
Source: US Department of Transportation, and APHIS-PPQ Agricultural 
Quarantine Inspection data base 
 search archives at bottom of page of each BSE Country; 
 more on non-species coding system and TSEs and potential 'suitcase bombs'; 
To: Bovine Spongiform Encephalopathy Subject: Re: POLAND FINDS 4TH MAD COW 
CASE/USA IMPORTS FROM POLAND/non-species coding system strikes again 
References:< [log in to unmask]> Content-Type: text/plain; 
charset=ISO-8859-1; format=flowed Content-Transfer-Encoding: 8bit 
X-Virus-Scanner: Found to be clean 
Greetings again List Members, 
let me kick a madcow around here a bit. 
on the imports from Poland and the infamous USA 'non-species' coding 
system. 
the USDA/APHIS states; 
During the past four years (1998 - 2001), US imports from Poland included 
non-species specific animal products used in animal feeds and non-species 
specific sausage and offal products (Table 3). Given US restrictions on ruminant 
product imports, these US imports should not have contained ruminant material. 
NOW, if you read Polands GBR risk assessment and opinion on BSE, especially 
_cross-contamination_, it states; 
ANNEX 1 
Poland - Summary of the GBR-Assessment, February 2001 
EXTERNAL CHALLENGE STABILITY INTERACTION OF EXTERNAL CHALLENGE AND 
STABILITY 
The very high to extremely high external challenge met a very unstable 
system and could have led to contamination of domestic cattle in Poland from 
1987 onwards. 
This internal challenge again met the still very unstable system and 
increased over time. 
The continuing very high external challenge supported this development. 
Not OK MBM-ban since 1997, but no feed controls. Reasonably OK Heat 
treatment equivalent to 133°C / 20min / 3 bar standards, but no evidence 
provided on compliance. 
Not OK. No SRM-ban, SRM are rendered and included in cattle feed. 
BSE surveillance: 
Not sufficient before 2001. 
Cross-contamination: 
Lines for ruminant and non-ruminant feed in feed-mills only separated in 
time and no analytical controls carried out. Likely present since 1987 and 
growing. 
see full text and ANNEX 1 at; 
 so in my humble opinion, the statement by the USDA/APHIS that ''these US 
imports _should_ not have contained ruminant materials, is a joke. a sad joke 
indeed. 
* POLAND BSE GBR RISK ASSESSMENT 
 BSE ISRAEL change in disease status, AND THE DAMN NON-SPECIES CODING 
SYSTEM $$$ 
Subject: BSE ISRAEL change in disease status, AND THE DAMN NON-SPECIES 
CODING SYSTEM $$$ Date: November 1, 2002 at 8:03 am PST 
[Federal Register: November 1, 2002 (Volume 67, Number 212)] 
DEPARTMENT OF AGRICULTURE 
Animal and Plant Health Inspection Service 
9 CFR Part 94 
[Docket No. 02-072-2] 
Change in Disease Status of Israel Because of BSE 
AGENCY: Animal and Plant Health Inspection Service, USDA. 
ACTION: Affirmation of interim rule as final rule. 
----------------------------------------------------------------------- 
SUMMARY: We are adopting as a final rule, without change, an interim rule 
that amended the regulations by adding Israel to the list of regions where 
bovine spongiform encephalopathy exists because the disease had been detected in 
a native-born animal in that region. The effect of the interim rule was a 
restriction on the importation of ruminants, meat, meat products, and certain 
other products of ruminants that had been in Israel. The interim rule was 
necessary to help prevent the introduction of bovine spongiform encephalopathy 
into the United States. 
EFFECTIVE DATE: The interim rule became effective on June 4, 2002. 
FOR FURTHER INFORMATION CONTACT: Dr. Gary Colgrove, Chief Staff 
Veterinarian, Sanitary Trade Issues Team, National Center for Import and Export, 
VS, APHIS, 4700 River Road Unit 38, Riverdale, MD 20737- 1231; (301) 734-4356. 
SUPPLEMENTARY INFORMATION: 
Background 
The regulations in 9 CFR parts 93, 94, 95, and 96 (referred to below as the 
regulations) govern the importation of certain animals, birds, poultry, meat, 
other animal products and byproducts, hay, and straw into the United States in 
order to prevent the introduction of various animal diseases, including bovine 
spongiform encephalopathy (BSE). In an interim rule effective June 4, 2002, and 
published in the Federal Register on July 18, 2002 (67 FR 47243-47244, Docket 
No. 02- 072-1), we amended the regulations in Sec. 94.18 (a)(1) by adding Israel 
to the list of regions where BSE exists due to the detection of BSE in a 
native-born animal in that region. Comments on the interim rule were required to 
be received on or before September 16, 2002. We did not receive any comments. 
Therefore, for the reasons given in the interim rule, we are adopting the 
interim rule as a final rule. This action also affirms the information contained 
in the interim rule concerning Executive Orders 12866 and 12988 and the 
Paperwork Reduction Act. Further, for this action, the Office of Management and 
Budget has waived its review under Executive Order 12866. 
Regulatory Flexibility Act 
This action affirms an interim rule that amended the regulations by adding 
Israel to the list of regions where BSE exists. The effect of the interim rule 
was a restriction on the importation of ruminants, meat, meat products, and 
certain other products of ruminants that had been in Israel. The interim rule 
was necessary to help prevent the introduction of BSE into the United States. 
The following analysis addresses the economic effects of the interim rule on 
small entities, as required by the Regulatory Flexibility Act. The interim 
rule's restrictions on the importation of ruminants and ruminant products and 
byproducts from Israel are not expected to have a significant impact on a 
substantial number of small entities due to the fact that the restricted items 
are either not imported from Israel or are imported in very small amounts. There 
are three categories of imports that may be affected, but Israel's share of U.S. 
imports is small in each case. The first category of affected imported 
commodities is ``Meat and edible meat offal, salted in brine, dried or smoked; 
edible flours and meals of meat or meat offal.'' Average total yearly imports of 
these products by the United States over the 3-year period 1999-2001 were valued 
at $24.6 million. Imports from Israel in 1999 were valued at $26,000. No imports 
of these products from Israel were reported for 2000 or 2001. The second 
category of affected commodities is ``Preparations of a kind used in animal 
feeding.'' Average total yearly imports of these products, 1999-2001, were 
valued at $93.5 million. Imports from Israel had an average yearly value over 
this period of about $76,000. The final category of affected commodities is 
``Other prepared or preserved meat, meat offal or blood.'' Average yearly 
imports of these products, 1999-2001, were valued at $101.2 million. Imports 
from Israel had an average yearly value over this period of about $2.7 million. 
It is apparent that Israel is a minor supplier to the United States of the 
ruminant products and byproducts affected by the BSE-related restrictions 
resulting from the interim rule. Therefore, we do not expect that the interim 
rule's restrictions on ruminants and ruminant products and byproducts from 
Israel will substantially affect any U.S. importers, large or small, of those 
commodities. Under these circumstances, the Administrator of the Animal and 
Plant Health Inspection Service has determined that this action will not have a 
significant economic impact on a substantial number of small entities. 
List of Subjects in 9 CFR Part 94 
Animal diseases, Imports, Livestock, Meat and meat products, Milk, Poultry 
and poultry products, Reporting and recordkeeping requirements. 
PART 94--RINDERPEST, FOOT-AND-MOUTH DISEASE, FOWL PEST (FOWL PLAGUE), 
EXOTIC NEWCASTLE DISEASE, AFRICAN SWINE FEVER, HOG CHOLERA, AND BOVINE 
SPONGIFORM ENCEPHALOPATHY: PROHIBITED AND RESTRICTED IMPORTATIONS 
Accordingly, we are adopting as a final rule, without change, the interim 
rule that amended 9 CFR part 94 and that was published at 67 FR 47243-47244 on 
July 18, 2002. 
Authority: 7 U.S.C. 450, 7711-7714, 7751, 7754, 8303, 8306, 8308, 8310, 
8311, and 8315; 21 U.S.C 136 and 136a; 31 U.S.C. 9701; 42 U.S.C. 4331 and 4332; 
7 CFR 2.22, 2.80, and 371.4. 
Done in Washington, DC, this 28th day of October, 2002. Bobby R. Acord, 
Administrator, Animal and Plant Health Inspection Service. [FR Doc. 02-27812 
Filed 10-31-02; 8:45 am] BILLING CODE 3410-34-P 
 greetings List members, 
MORE OF THE INFAMOUS USA NON-SPECIES CODING SYSTEM. 
as long as the exporting country and the importing country know not what 
they are exporting (play dumb/stupid), this non-species coding system allows 
potential BSE/TSE materials to be imported and exported freely and legally... 
TSS 
What are the U.S. imports of affected animals or animal products from 
Israel ? 
The U.S. imported no live ruminants or ruminant meat from Israel since 
1999. In 1999 a small amount of non-species specific meat and offal was imported 
and a small amount of fetal bovine serum (FBS) was also imported. FBS is 
considered to have a relatively low risk of transmitting BSE. Other imports from 
Israel during the period 1998-2001 included non-species specific preparations 
used in animal feeds and other non-food products of unspecified animals. For the 
category "preparations used in animal feeding, NESOI" that was imported into the 
U.S., it is possible that bovine meat or bovine byproducts could have been 
included in this category. However, the US Food and Drug Administration 
prohibits feeding of meat-and-bone meal to ruminants in the U.S. 
HS Code 
Description 
Unit 
1998 
1999 
2000 
2001 
Feed - non species specific 
Total 
45,030 
48,000 
50,649 
43,000 
2309909500 
Preparations Used in Animal Feedings, NESOI 
KG 
45,030 
48,000 
50,649 
43,000 
Meat & offal- non species specific 
Total 
5 
0 
0 
0 
300110 
Dried Organs 
KG 
5 
0 
0 
0 
Other animal products - ruminants 
Total 
24 
0 
0 
0 
3002100040 
Fetal Bovine Serum (FBS) 
KG 
24 
0 
0 
0 
Source: World Trade Atlas 
What is the level of passenger traffic arriving in the United States from 
Israel? 
A total of 524,401 passengers arrived on direct flights to the U.S. from 
Israel in fiscal year 2000. This number does not include passengers who arrived 
in the U.S. from Israel via indirect flights. 
Under APHIS-PPQ?s agricultural quarantine inspection monitoring, 284 air 
passengers from Israel were sampled for items of agricultural interest in fiscal 
year 2001. Seven of these passengers, or 2 percent, carried a total of 11 kg of 
meat items that could potentially harbor the pathogen that causes BSE. None of 
these passengers from whom meat items were confiscated reported plans to visit 
or work on a ranch or farm during their visit to the U.S. 
Source: U.S. Department of Transportation and APHIS-PPQ Agricultural 
Quarantine Inspection data base. 
 TSS 
Terry S. Singeltary Sr. P.O. Box 42 Bacliff, Texas USA 77518 
Docket Management Docket: 02N-0276 - Bioterrorism Preparedness; 
Registration of Food Facilities, Section 305 Comment Number: EC -254 Accepted - 
Volume 11 
Infectivity surviving ashing to 600*C is (in my opinion) degradable but 
infective. based on Bown & Gajdusek, (1991), landfill and burial may be 
assumed to have a reduction factor of 98% (i.e. a factor of 50) over 3 years. 
CJD-infected brain-tissue remained infectious after storing at room-temperature 
for 22 months (Tateishi et al, 1988). Scrapie agent is known to remain viable 
after at least 30 months of desiccation (Wilson et al, 1950). and pastures that 
had been grazed by scrapie-infected sheep still appeared to be contaminated with 
scrapie agent three years after they were last occupied by sheep (Palsson, 
1979).
PAUL BROWN SCRAPIE SOIL TEST
 snip... 
please see full text ; 
Thursday, February 17, 2011
Environmental Sources of Scrapie Prions
2014
*** We conclude that TSE infectivity is likely to survive burial for long 
time periods with minimal loss of infectivity and limited movement from the 
original burial site. However PMCA results have shown that there is the 
potential for rainwater to elute TSE related material from soil which could lead 
to the contamination of a wider area. These experiments reinforce the importance 
of risk assessment when disposing of TSE risk materials. 
*** The results show that even highly diluted PrPSc can bind efficiently to 
polypropylene, stainless steel, glass, wood and stone and propagate the 
conversion of normal prion protein. For in vivo experiments, hamsters were ic 
injected with implants incubated in 1% 263K-infected brain homogenate. Hamsters, 
inoculated with 263K-contaminated implants of all groups, developed typical 
signs of prion disease, whereas control animals inoculated with non-contaminated 
materials did not.
PRION 2014 CONFERENCE
CHRONIC WASTING DISEASE CWD 
A FEW FINDINGS ; 
Conclusions. To our knowledge, this is the first established experimental 
model of CWD in TgSB3985. We found evidence for co-existence or divergence of 
two CWD strains adapted to Tga20 mice and their replication in TgSB3985 mice. 
Finally, we observed phenotypic differences between cervid-derived CWD and 
CWD/Tg20 strains upon propagation in TgSB3985 mice. Further studies are underway 
to characterize these strains. 
We conclude that TSE infectivity is likely to survive burial for long time 
periods with minimal loss of infectivity and limited movement from the original 
burial site. However PMCA results have shown that there is the potential for 
rainwater to elute TSE related material from soil which could lead to the 
contamination of a wider area. These experiments reinforce the importance of 
risk assessment when disposing of TSE risk materials. 
The results show that even highly diluted PrPSc can bind efficiently to 
polypropylene, stainless steel, glass, wood and stone and propagate the 
conversion of normal prion protein. For in vivo experiments, hamsters were ic 
injected with implants incubated in 1% 263K-infected brain homogenate. Hamsters, 
inoculated with 263K-contaminated implants of all groups, developed typical 
signs of prion disease, whereas control animals inoculated with non-contaminated 
materials did not.
Our data establish that meadow voles are permissive to CWD via peripheral 
exposure route, suggesting they could serve as an environmental reservoir for 
CWD. Additionally, our data are consistent with the hypothesis that at least two 
strains of CWD circulate in naturally-infected cervid populations and provide 
evidence that meadow voles are a useful tool for CWD strain typing. 
Conclusion. CWD prions are shed in saliva and urine of infected deer as 
early as 3 months post infection and throughout the subsequent >1.5 year 
course of infection. In current work we are examining the relationship of 
prionemia to excretion and the impact of excreted prion binding to surfaces and 
particulates in the environment.
Conclusion. CWD prions (as inferred by prion seeding activity by RT-QuIC) 
are shed in urine of infected deer as early as 6 months post inoculation and 
throughout the subsequent disease course. Further studies are in progress 
refining the real-time urinary prion assay sensitivity and we are examining more 
closely the excretion time frame, magnitude, and sample variables in 
relationship to inoculation route and prionemia in naturally and experimentally 
CWD-infected cervids.
Conclusions. Our results suggested that the odds of infection for CWD is 
likely controlled by areas that congregate deer thus increasing direct 
transmission (deer-to-deer interactions) or indirect transmission 
(deer-to-environment) by sharing or depositing infectious prion proteins in 
these preferred habitats. Epidemiology of CWD in the eastern U.S. is likely 
controlled by separate factors than found in the Midwestern and endemic areas 
for CWD and can assist in performing more efficient surveillance efforts for the 
region.
Conclusions. During the pre-symptomatic stage of CWD infection and 
throughout the course of disease deer may be shedding multiple LD50 doses per 
day in their saliva. CWD prion shedding through saliva and excreta may account 
for the unprecedented spread of this prion disease in nature. 
see full text and more ; 
Monday, June 23, 2014 
*** PRION 2014 CONFERENCE CHRONIC WASTING DISEASE CWD 
*** Infectious agent of sheep scrapie may persist in the environment for at 
least 16 years***
Gudmundur Georgsson1, Sigurdur Sigurdarson2 and Paul Brown3 
*** New studies on the heat resistance of hamster-adapted scrapie agent: 
Threshold survival after ashing at 600°C suggests an inorganic template of 
replication 
*** Prion Infected Meat-and-Bone Meal Is Still Infectious after Biodiesel 
Production 
*** Detection of protease-resistant cervid prion protein in water from a 
CWD-endemic area 
*** A Quantitative Assessment of the Amount of Prion Diverted to Category 1 
Materials and Wastewater During Processing 
*** Rapid assessment of bovine spongiform encephalopathy prion inactivation 
by heat treatment in yellow grease produced in the industrial manufacturing 
process of meat and bone meals 
*** Survival and Limited Spread of TSE Infectivity after Burial 
Karen Fernie, Allister Smith and Robert A. Somerville The Roslin Institute 
and R(D)SVS; University of Edinburgh; Roslin, Scotland UK 
Scrapie and chronic wasting disease probably spread via environmental 
routes, and there are also concerns about BSE infection remaining in the 
environment after carcass burial or waste 3disposal. In two demonstration 
experiments we are determining survival and migration of TSE infectivity when 
buried for up to five years, as an uncontained point source or within bovine 
heads. Firstly boluses of TSE infected mouse brain were buried in lysimeters 
containing either sandy or clay soil. Migration from the boluses is being 
assessed from soil cores taken over time. With the exception of a very small 
amount of infectivity found 25 cm from the bolus in sandy soil after 12 months, 
no other infectivity has been detected up to three years. Secondly, ten bovine 
heads were spiked with TSE infected mouse brain and buried in the two soil 
types. Pairs of heads have been exhumed annually and assessed for infectivity 
within and around them. After one year and after two years, infectivity was 
detected in most intracranial samples and in some of the soil samples taken from 
immediately surrounding the heads. The infectivity assays for the samples in and 
around the heads exhumed at years three and four are underway. These data show 
that TSE infectivity can survive burial for long periods but migrates slowly. 
Risk assessments should take into account the likely long survival rate when 
infected material has been buried.
The authors gratefully acknowledge funding from DEFRA. 
Sunday, November 3, 2013 
Environmental Impact Statements; Availability, etc.: Animal Carcass 
Management [Docket No. APHIS-2013-0044] 
2012 
PO-039: A comparison of scrapie and chronic wasting disease in white-tailed 
deer 
Justin Greenlee, Jodi Smith, Eric Nicholson US Dept. Agriculture; 
Agricultural Research Service, National Animal Disease Center; Ames, IA USA 
snip...
The results of this study suggest that there are many similarities in the 
manifestation of CWD and scrapie in WTD after IC inoculation including early and 
widespread presence of PrPSc in lymphoid tissues, clinical signs of depression 
and weight loss progressing to wasting, and an incubation time of 21-23 months. 
Moreover, western blots (WB) done on brain material from the obex region have a 
molecular profile similar to CWD and distinct from tissues of the cerebrum or 
the scrapie inoculum. However, results of microscopic and IHC examination 
indicate that there are differences between the lesions expected in CWD and 
those that occur in deer with scrapie: amyloid plaques were not noted in any 
sections of brain examined from these deer and the pattern of immunoreactivity 
by IHC was diffuse rather than plaque-like. 
*** After a natural route of exposure, 100% of WTD were susceptible to 
scrapie. 
Deer developed clinical signs of wasting and mental depression and were 
necropsied from 28 to 33 months PI. Tissues from these deer were positive for 
PrPSc by IHC and WB. Similar to IC inoculated deer, samples from these deer 
exhibited two different molecular profiles: samples from obex resembled CWD 
whereas those from cerebrum were similar to the original scrapie inoculum. On 
further examination by WB using a panel of antibodies, the tissues from deer 
with scrapie exhibit properties differing from tissues either from sheep with 
scrapie or WTD with CWD. Samples from WTD with CWD or sheep with scrapie are 
strongly immunoreactive when probed with mAb P4, however, samples from WTD with 
scrapie are only weakly immunoreactive. In contrast, when probed with mAb’s 6H4 
or SAF 84, samples from sheep with scrapie and WTD with CWD are weakly 
immunoreactive and samples from WTD with scrapie are strongly positive. This 
work demonstrates that WTD are highly susceptible to sheep scrapie, but on first 
passage, scrapie in WTD is differentiable from CWD. 
2011 
*** After a natural route of exposure, 100% of white-tailed deer were 
susceptible to scrapie. 
*** We hypothesize that both BSE prions and CWD prions passaged through 
felines will seed human recPrP more efficiently than BSE or CWD from the 
original hosts, evidence that the new host will dampen the species barrier 
between humans and BSE or CWD. The new host effect is particularly relevant as 
we investigate potential means of trans-species transmission of prion disease. 
Veterinary Pathology Onlinevet.sagepub.com Published online before print 
February 27, 2014, doi: 10.1177/0300985814524798 Veterinary Pathology February 
27, 2014 0300985814524798 
Lesion Profiling and Subcellular Prion Localization of Cervid Chronic 
Wasting Disease in Domestic Cats 
D. M. Seelig1⇑ A. V. Nalls1 M. Flasik2 V. Frank1 S. Eaton2 C. K. Mathiason1 
E. A. Hoover1 1Department of Microbiology, Immunology, and Pathology, Colorado 
State University, Fort Collins, CO, USA 2Department of Biomedical Sciences, 
Colorado State University, Fort Collins, CO, USA D. M. Seelig, University of 
Minnesota, Department of Veterinary Clinical Sciences, Room 339 VetMedCtrS, 
6192A (Campus Delivery Code), 1352 Boyd Ave, St Paul, MN 55108, USA. Email 
address: dseelig@umn.edu 
Abstract 
Chronic wasting disease (CWD) is an efficiently transmitted, fatal, and 
progressive prion disease of cervids with an as yet to be fully clarified host 
range. While outbred domestic cats (Felis catus) have recently been shown to be 
susceptible to experimental CWD infection, the neuropathologic features of the 
infection are lacking. Such information is vital to provide diagnostic power in 
the event of natural interspecies transmission and insights into host and strain 
interactions in interspecies prion infection. Using light microscopy and 
immunohistochemistry, we detail the topographic pattern of neural spongiosis 
(the “lesion profile”) and the distribution of misfolded prion protein in the 
primary and secondary passage of feline CWD (FelCWD). We also evaluated cellular 
and subcellular associations between misfolded prion protein (PrPD) and central 
nervous system neurons and glial cell populations. From these studies, we (1) 
describe the novel neuropathologic profile of FelCWD, which is distinct from 
either cervid CWD or feline spongiform encephalopathy (FSE), and (2) provide 
evidence of serial passage-associated interspecies prion adaptation. In 
addition, we demonstrate through confocal analysis the successful 
co-localization of PrPD with neurons, astrocytes, microglia, lysosomes, and 
synaptophysin, which, in part, implicates each of these in the neuropathology of 
FelCWD. In conclusion, this work illustrates the simultaneous role of both host 
and strain in the development of a unique FelCWD neuropathologic profile and 
that such a profile can be used to discriminate between FelCWD and FSE. 
prion chronic wasting disease immunohistochemistry interspecies cat feline 
spongiform encephalopathy transmissible spongiform encephalopathy adaptation 
species barrier
Sunday, March 09, 2014 
Lesion Profiling and Subcellular Prion Localization of Cervid Chronic 
Wasting Disease in Domestic Cats 
Monday, August 8, 2011 
*** Susceptibility of Domestic Cats to CWD Infection ***
Oral.29: Susceptibility of Domestic Cats to CWD Infection
Amy Nalls, Nicholas J. Haley, Jeanette Hayes-Klug, Kelly Anderson, Davis M. 
Seelig, Dan S. Bucy, Susan L. Kraft, Edward A. Hoover and Candace K. 
Mathiason†
Colorado State University; Fort Collins, CO USA†Presenting author; Email: 
ckm@lamar.colostate.edu
Domestic and non-domestic cats have been shown to be susceptible to one 
prion disease, feline spongiform encephalopathy (FSE), thought to be transmitted 
through consumption of bovine spongiform encephalopathy (BSE) contaminated meat. 
Because domestic and free ranging felids scavenge cervid carcasses, including 
those in CWD affected areas, we evaluated the susceptibility of domestic cats to 
CWD infection experimentally. Groups of n = 5 cats each were inoculated either 
intracerebrally (IC) or orally (PO) with CWD deer brain homogenate. Between 
40–43 months following IC inoculation, two cats developed mild but progressive 
symptoms including weight loss, anorexia, polydipsia, patterned motor behaviors 
and ataxia—ultimately mandating euthanasia. Magnetic resonance imaging (MRI) on 
the brain of one of these animals (vs. two age-matched controls) performed just 
before euthanasia revealed increased ventricular system volume, more prominent 
sulci, and T2 hyperintensity deep in the white matter of the frontal hemisphere 
and in cortical grey distributed through the brain, likely representing 
inflammation or gliosis. PrPRES and widely distributed peri-neuronal vacuoles 
were demonstrated in the brains of both animals by immunodetection assays. No 
clinical signs of TSE have been detected in the remaining primary passage cats 
after 80 months pi. Feline-adapted CWD was sub-passaged into groups (n=4 or 5) 
of cats by IC, PO, and IP/SQ routes. Currently, at 22 months pi, all five IC 
inoculated cats are demonstrating abnormal behavior including increasing 
aggressiveness, pacing, and hyper responsiveness. 
*** Two of these cats have developed rear limb ataxia. Although the limited 
data from this ongoing study must be considered preliminary, they raise the 
potential for cervid-to-feline transmission in nature.
AD.63: 
Susceptibility of domestic cats to chronic wasting disease 
Amy V.Nalls,1 Candace Mathiason,1 Davis Seelig,2 Susan Kraft,1 Kevin 
Carnes,1 Kelly Anderson,1 Jeanette Hayes-Klug1 and Edward A. Hoover1 1Colorado 
State University; Fort Collins, CO USA; 2University of Minnesota; Saint Paul, MN 
USA 
Domestic and nondomestic cats have been shown to be susceptible to feline 
spongiform encephalopathy (FSE), almost certainly caused by consumption of 
bovine spongiform encephalopathy (BSE)-contaminated meat. Because domestic and 
free-ranging nondomestic felids scavenge cervid carcasses, including those in 
areas affected by chronic wasting disease (CWD), we evaluated the susceptibility 
of the domestic cat (Felis catus) to CWD infection experimentally. Cohorts of 5 
cats each were inoculated either intracerebrally (IC) or orally (PO) with 
CWD-infected deer brain. At 40 and 42 mo post-inoculation, two IC-inoculated 
cats developed signs consistent with prion disease, including a stilted gait, 
weight loss, anorexia, polydipsia, patterned motor behaviors, head and tail 
tremors, and ataxia, and progressed to terminal disease within 5 mo. Brains from 
these two cats were pooled and inoculated into cohorts of cats by IC, PO, and 
intraperitoneal and subcutaneous (IP/SC) routes. Upon subpassage, feline-adapted 
CWD (FelCWD) was transmitted to all IC-inoculated cats with a decreased 
incubation period of 23 to 27 mo. FelCWD was detected in the brains of all the 
symptomatic cats by western blotting and immunohistochemistry and abnormalities 
were seen in magnetic resonance imaging, including multifocal T2 fluid 
attenuated inversion recovery (FLAIR) signal hyper-intensities, ventricular size 
increases, prominent sulci, and white matter tract cavitation. Currently, 3 of 4 
IP/SQ and 2 of 4 PO inoculared cats have developed abnormal behavior patterns 
consistent with the early stage of feline CWD. 
*** These results demonstrate that CWD can be transmitted and adapted to 
the domestic cat, thus raising the issue of potential cervid-to- feline 
transmission in nature. 
www.landesbioscience.com 
PO-081: Chronic wasting disease in the cat— Similarities to feline 
spongiform encephalopathy (FSE) 
FELINE SPONGIFORM ENCEPHALOPATHY FSE 
*** The potential impact of prion diseases on human health was greatly 
magnified by the recognition that interspecies transfer of BSE to humans by beef 
ingestion resulted in vCJD. While changes in animal feed constituents and 
slaughter practices appear to have curtailed vCJD, there is concern that CWD of 
free-ranging deer and elk in the U.S. might also cross the species barrier. 
Thus, consuming venison could be a source of human prion disease. Whether BSE 
and CWD represent interspecies scrapie transfer or are newly arisen prion 
diseases is unknown. Therefore, the possibility of transmission of prion disease 
through other food animals cannot be ruled out. There is evidence that vCJD can 
be transmitted through blood transfusion. There is likely a pool of unknown size 
of asymptomatic individuals infected with vCJD, and there may be asymptomatic 
individuals infected with the CWD equivalent. These circumstances represent a 
potential threat to blood, blood products, and plasma supplies. 
cwd exposure, and iatrogenic CJD, what if ??? 
*** our results raise the possibility that CJD cases classified as VV1 may 
include cases caused by iatrogenic transmission of sCJD-MM1 prions or food-borne 
infection by type 1 prions from animals, e.g., chronic wasting disease prions in 
cervid. In fact, two CJD-VV1 patients who hunted deer or consumed venison have 
been reported (40, 41). The results of the present study emphasize the need for 
traceback studies and careful re-examination of the biochemical properties of 
sCJD-VV1 prions. *** 
snip...see full text ; 
Thursday, January 2, 2014 
*** CWD TSE Prion in cervids to hTGmice, Heidenhain Variant 
Creutzfeldt-Jacob Disease MM1 genotype, and iatrogenic CJD ??? *** 
*** We hypothesize that both BSE prions and CWD prions passaged through 
felines will seed human recPrP more efficiently than BSE or CWD from the 
original hosts, evidence that the new host will dampen the species barrier 
between humans and BSE or CWD. The new host effect is particularly relevant as 
we investigate potential means of trans-species transmission of prion disease. 
>>> There is no evidence that humans or livestock can get the 
disease, according to the Centers for Disease Control and Prevention. 
 hang on now, what do you call this ; 
 > First transmission of CWD to transgenic mice over-expressing bovine 
prion protein gene (TgSB3985) 
 PRION 2014 - PRIONS: EPIGENETICS and NEURODEGENERATIVE DISEASES – Shaping 
up the future of prion research 
 Animal TSE Workshop 10.40 – 11.05 Talk Dr. L. Cervenakova First 
transmission of CWD to transgenic mice over-expressing bovine prion protein gene 
(TgSB3985) 
 FORGOT TO ADD THIS ONE... 
 P.126: Successful transmission of chronic wasting disease (CWD) into mice 
over-expressing bovine prion protein (TgSB3985) 
 Larisa Cervenakova,1 Christina J Sigurdson,2 Pedro Piccardo,3 Oksana 
Yakovleva,1 Irina Vasilyeva,1 Jorge de Castro,1 Paula Saá,1 and Anton Cervenak1 
1American Red Cross, Holland Laboratory; Rockville, MD USA; 2University of 
California; San Diego, CA USA; 3Lab TSE/OBRR /CBER/FDA; Rockville, MD USA 
 Keywords: chronic wasting disease, transmission, transgenic mouse, bovine 
prion protein 
 Background. CWD is a disease affecting wild and farmraised cervids in 
North America. Epidemiological studies provide no evidence of CWD transmission 
to humans. Multiple attempts have failed to infect transgenic mice expressing 
human PRNP gene with CWD. The extremely low efficiency of PrPCWD to convert 
normal human PrPC in vitro provides additional evidence that transmission of CWD 
to humans cannot be easily achieved. However, a concern about the risk of CWD 
transmission to humans still exists. This study aimed to establish and 
characterize an experimental model of CWD in TgSB3985 mice with the following 
attempt of transmission to TgHu mice. 
 Materials and Methods. TgSB3985 mice and wild-type FVB/ NCrl mice were 
intracranially injected with 1% brain homogenate from a CWD-infected Tga20 mouse 
(CWD/Tga20). TgSB3985 and TgRM (over-expressing human PrP) were similarly 
injected with 5% brain homogenates from CWD-infected white-tailed deer (CWD/WTD) 
or elk (CWD/Elk). Animals were observed for clinical signs of neurological 
disease and were euthanized when moribund. Brains and spleens were removed from 
all mice for PrPCWD detection by Western blotting (WB). A histological analysis 
of brains from selected animals was performed: brains were scored for the 
severity of spongiform change, astrogliosis, and PrPCWD deposition in ten brain 
regions. 
 Results. Clinical presentation was consistent with TSE. More than 90% of 
TgSB3985 and wild-type mice infected with CWD/Tga20, tested positive for PrPres 
in the brain but only mice in the latter group carried PrPCWD in their spleens. 
We found evidence for co-existence or divergence of two CWD/ Tga20 strains based 
on biochemical and histological profiles. In TgSB3985 mice infected with CWD-elk 
or CWD-WTD, no animals tested positive for PrPCWD in the brain or in the spleen 
by WB. However, on neuropathological examination we found presence of amyloid 
plaques that stained positive for PrPCWD in three CWD/WTD- and two 
CWD/Elk-infected TgSB3985 mice. The neuropathologic profiles in CWD/WTD- and 
CWD/Elkinfected mice were similar but unique as compared to profiles of BSE, 
BSE-H or CWD/Tg20 agents propagated in TgSB3985 mice. None of CWD-infected TgRM 
mice tested positive for PrPCWD by WB or by immunohistochemical detection. 
 Conclusions. To our knowledge, this is the first established experimental 
model of CWD in TgSB3985. We found evidence for co-existence or divergence of 
two CWD strains adapted to Tga20 mice and their replication in TgSB3985 mice. 
Finally, we observed phenotypic differences between cervid-derived CWD and 
CWD/Tg20 strains upon propagation in TgSB3985 mice. Further studies are underway 
to characterize these strains. 
 TSS 
 UPDATED CORRESPONDENCE FROM AUTHORS OF THIS STUDY I.E. COLBY, PRUSINER ET 
AL, ABOUT MY CONCERNS OF THE DISCREPANCY BETWEEN THEIR FIGURES AND MY FIGURES OF 
THE STUDIES ON CWD TRANSMISSION TO CATTLE ; 
 CWD to cattle figures CORRECTION 
 Greetings, 
 I believe the statement and quote below is incorrect ; 
 "CWD has been transmitted to cattle after intracerebral inoculation, 
although the infection rate was low (4 of 13 animals [Hamir et al. 2001]). This 
finding raised concerns that CWD prions might be transmitted to cattle grazing 
in contaminated pastures." 
 Please see ; 
 Within 26 months post inoculation, 12 inoculated animals had lost weight, 
revealed abnormal clinical signs, and were euthanatized. Laboratory tests 
revealed the presence of a unique pattern of the disease agent in tissues of 
these animals. These findings demonstrate that when CWD is directly inoculated 
into the brain of cattle, 86% of inoculated cattle develop clinical signs of the 
disease. 
 " although the infection rate was low (4 of 13 animals [Hamir et al. 
2001]). " 
 shouldn't this be corrected, 86% is NOT a low rate. ... 
 kindest regards, 
 Terry S. Singeltary Sr. P.O. Box 42 Bacliff, Texas USA 77518 
 Thank you! 
 Thanks so much for your updates/comments. We intend to publish as rapidly 
as possible all updates/comments that contribute substantially to the topic 
under discussion. 
 re-Prions David W. Colby1,* and Stanley B. Prusiner1,2 + Author 
Affiliations 
 1Institute for Neurodegenerative Diseases, University of California, San 
Francisco, San Francisco, California 94143 2Department of Neurology, University 
of California, San Francisco, San Francisco, California 94143 Correspondence: 
stanley@ind.ucsf.edu 
 Mule deer, white-tailed deer, and elk have been reported to develop CWD. 
As the only prion disease identified in free-ranging animals, CWD appears to be 
far more communicable than other forms of prion disease. CWD was first described 
in 1967 and was reported to be a spongiform encephalopathy in 1978 on the basis 
of histopathology of the brain. Originally detected in the American West, CWD 
has spread across much of North America and has been reported also in South 
Korea. In captive populations, up to 90% of mule deer have been reported to be 
positive for prions (Williams and Young 1980). The incidence of CWD in cervids 
living in the wild has been estimated to be as high as 15% (Miller et al. 2000). 
The development of transgenic (Tg) mice expressing cervid PrP, and thus 
susceptible to CWD, has enhanced detection of CWD and the estimation of prion 
titers (Browning et al. 2004; Tamgüney et al. 2006). Shedding of prions in the 
feces, even in presymptomatic deer, has been identified as a likely source of 
infection for these grazing animals (Williams and Miller 2002; Tamgüney et al. 
2009b). CWD has been transmitted to cattle after intracerebral inoculation, 
although the infection rate was low (4 of 13 animals [Hamir et al. 2001]). This 
finding raised concerns that CWD prions might be transmitted to cattle grazing 
in contaminated pastures. 
 snip... 
 ----- Original Message ----- 
 From: David Colby To: flounder9@verizon.net 
 Cc: stanley@XXXXXXXX 
 Sent: Tuesday, March 01, 2011 8:25 AM 
 Subject: Re: FW: re-Prions David W. Colby1,* and Stanley B. Prusiner1,2 + 
Author Affiliations 
 Dear Terry Singeltary, 
 Thank you for your correspondence regarding the review article Stanley 
Prusiner and I recently wrote for Cold Spring Harbor Perspectives. Dr. Prusiner 
asked that I reply to your message due to his busy schedule. We agree that the 
transmission of CWD prions to beef livestock would be a troubling development 
and assessing that risk is important. In our article, we cite a peer-reviewed 
publication reporting confirmed cases of laboratory transmission based on 
stringent criteria. The less stringent criteria for transmission described in 
the abstract you refer to lead to the discrepancy between your numbers and ours 
and thus the interpretation of the transmission rate. We stand by our assessment 
of the literature--namely that the transmission rate of CWD to bovines appears 
relatively low, but we recognize that even a low transmission rate could have 
important implications for public health and we thank you for bringing attention 
to this matter. Warm Regards, David Colby -- David Colby, PhDAssistant Professor 
Department of Chemical Engineering University of Delaware 
 ===========END...TSS============== 
 SNIP...SEE FULL TEXT ; 
 UPDATED DATA ON 2ND CWD STRAIN Wednesday, September 08, 2010 CWD PRION 
CONGRESS SEPTEMBER 8-11 2010 
 Sunday, August 19, 2012 
 Susceptibility of cattle to the agent of chronic wasting disease from elk 
after intracranial inoculation 2012 
 Research Project: TRANSMISSION, DIFFERENTIATION, AND PATHOBIOLOGY OF 
TRANSMISSIBLE SPONGIFORM ENCEPHALOPATHIES Location: Virus and Prion Research 
Unit 
 Thursday, November 21, 2013 
 *** Assessing the susceptibility of transgenic mice over-expressing deer 
prion protein to bovine spongiform encephalopathy 
 The present study was designed to assess the susceptibility of the 
prototypic mouse line, Tg(CerPrP)1536+/- to bovine spongiform encephalopathy 
(BSE) prions, which have the ability to overcome species barriers. 
Tg(CerPrP)1536+/- mice challenged with red deer-adapted BSE resulted in a 
90-100% attack rates, BSE from cattle failed to transmit, indicating agent 
adaptation in the deer. 
 *** The potential impact of prion diseases on human health was greatly 
magnified by the recognition that interspecies transfer of BSE to humans by beef 
ingestion resulted in vCJD. While changes in animal feed constituents and 
slaughter practices appear to have curtailed vCJD, there is concern that CWD of 
free-ranging deer and elk in the U.S. might also cross the species barrier. 
Thus, consuming venison could be a source of human prion disease. Whether BSE 
and CWD represent interspecies scrapie transfer or are newly arisen prion 
diseases is unknown. Therefore, the possibility of transmission of prion disease 
through other food animals cannot be ruled out. There is evidence that vCJD can 
be transmitted through blood transfusion. There is likely a pool of unknown size 
of asymptomatic individuals infected with vCJD, and there may be asymptomatic 
individuals infected with the CWD equivalent. These circumstances represent a 
potential threat to blood, blood products, and plasma supplies. 
 NOW, what is the latest on human risk factors to CWD strains ??? 
 *** PPo3-7: Prion Transmission from Cervids to Humans is Strain-dependent 
 *** Here we report that a human prion strain that had adopted the cervid 
prion protein (PrP) sequence through passage in cervidized transgenic mice 
efficiently infected transgenic mice expressing human PrP, 
 *** indicating that the species barrier from cervid to humans is prion 
strain-dependent and humans can be vulnerable to novel cervid prion strains. 
 PPo2-27: 
 Generation of a Novel form of Human PrPSc by Inter-species Transmission of 
Cervid Prions 
 *** Our findings suggest that CWD prions have the capability to infect 
humans, and that this ability depends on CWD strain adaptation, implying that 
the risk for human health progressively increases with the spread of CWD among 
cervids. 
 PPo2-7: 
 Biochemical and Biophysical Characterization of Different CWD Isolates 
 *** The data presented here substantiate and expand previous reports on 
the existence of different CWD strains. 
 Envt.07: 
 Pathological Prion Protein (PrPTSE) in Skeletal Muscles of Farmed and Free 
Ranging White-Tailed Deer Infected with Chronic Wasting Disease 
 ***The presence and seeding activity of PrPTSE in skeletal muscle from 
CWD-infected cervids suggests prevention of such tissue in the human diet as a 
precautionary measure for food safety, pending on further clarification of 
whether CWD may be transmissible to humans. 
 >>>CHRONIC WASTING DISEASE , THERE WAS NO ABSOLUTE BARRIER TO 
CONVERSION OF THE HUMAN PRION PROTEIN<<< 
 *** PRICE OF CWD TSE PRION POKER GOES UP 2014 *** 
 Transmissible Spongiform Encephalopathy TSE PRION update January 2, 2014 
 Wednesday, January 01, 2014 
 Molecular Barriers to Zoonotic Transmission of Prions 
 *** chronic wasting disease, there was no absolute barrier to conversion 
of the human prion protein. 
 *** Furthermore, the form of human PrPres produced in this in vitro assay 
when seeded with CWD, resembles that found in the most common human prion 
disease, namely sCJD of the MM1 subtype. 
 the prion gods at the cdc state that there is ; 
 ''no strong evidence'' 
 but let's see exactly what the authors of this cwd to human at the cdc 
state ; 
 now, let’s see what the authors said about this casual link, personal 
communications years ago. see where it is stated NO STRONG evidence. so, does 
this mean there IS casual evidence ???? 
 “Our conclusion stating that we found no strong evidence of CWD 
transmission to humans” 
From: TSS (216-119-163-189.ipset45.wt.net) 
Subject: CWD aka MAD DEER/ELK TO HUMANS ??? 
Date: September 30, 2002 at 7:06 am PST 
From: "Belay, Ermias" 
To: 
Cc: "Race, Richard (NIH)" ; ; "Belay, Ermias" 
Sent: Monday, September 30, 2002 9:22 AM 
Subject: RE: TO CDC AND NIH - PUB MED- 3 MORE DEATHS - CWD - YOUNG HUNTERS 
Dear Sir/Madam, 
In the Archives of Neurology you quoted (the abstract of which was attached 
to your email), we did not say CWD in humans will present like variant CJD. 
That assumption would be wrong. I encourage you to read the whole article 
and call me if you have questions or need more clarification (phone: 
404-639-3091). Also, we do not claim that "no-one has ever been infected with 
prion disease from eating venison." Our conclusion stating that we found no 
strong evidence of CWD transmission to humans in the article you quoted or in 
any other forum is limited to the patients we investigated. 
Ermias Belay, M.D. Centers for Disease Control and Prevention 
-----Original Message----- 
From: 
Sent: Sunday, September 29, 2002 10:15 AM 
To: rr26k@nih.gov; rrace@niaid.nih.gov; ebb8@CDC.GOV 
Subject: TO CDC AND NIH - PUB MED- 3 MORE DEATHS - CWD - YOUNG HUNTERS 
Sunday, November 10, 2002 6:26 PM ......snip........end..............TSS 
Thursday, April 03, 2008 
A prion disease of cervids: Chronic wasting disease 
2008 1: Vet Res. 2008 Apr 3;39(4):41 
A prion disease of cervids: Chronic wasting disease 
Sigurdson CJ. 
snip... 
*** twenty-seven CJD patients who regularly consumed venison were reported 
to the Surveillance Center***, 
snip... 
full text ; 
PRION2013 CONGRESSIONAL ABSTRACTS CWD 
Sunday, August 25, 2013 
HD.13: CWD infection in the spleen of humanized transgenic mice 
***These results indicate that the CWD prion may have the potential to 
infect human peripheral lymphoid tissues. 
Oral.15: Molecular barriers to zoonotic prion transmission: Comparison of 
the ability of sheep, cattle and deer prion disease isolates to convert normal 
human prion protein to its pathological isoform in a cell-free system 
***However, they also show that there is no absolute barrier to conversion of 
human prion protein in the case of chronic wasting disease. 
PRION2013 CONGRESSIONAL ABSTRACTS CWD 
Sunday, August 25, 2013 
***Chronic Wasting Disease CWD risk factors, humans, domestic cats, blood, 
and mother to offspring transmission 
Tuesday, November 04, 2014 
*** Six-year follow-up of a point-source exposure to CWD contaminated 
venison in an Upstate New York community: risk behaviours and health outcomes 
2005–2011 
Sunday, December 28, 2014 
*** CHRONIC WASTING DISEASE CWD TSE PRION DISEASE AKA MAD DEER DISIEASE 
USDA USAHA INC DECEMBER 28, 2014 
Thursday, October 23, 2014 
FIRST CASE OF CHRONIC WASTING DISEASE CONFIRMED IN OHIO ON PRIVATE PRESERVE 
Sunday, December 21, 2014 
Mucosal immunization with an attenuated Salmonella vaccine partially 
protects white-tailed deer from chronic wasting disease 
Tuesday, October 21, 2014 
Pennsylvania Department of Agriculture Tenth Pennsylvania Captive Deer 
Tests Positive for Chronic Wasting Disease CWD TSE PRION DISEASE 
Tuesday, October 07, 2014 
Wisconsin white-tailed deer tested positive for CWD on a Richland County 
breeding farm, and a case of CWD has been discovered on a Marathon County 
hunting preserve 
Thursday, October 02, 2014 
IOWA TEST RESULTS FROM CAPTIVE DEER HERD WITH CHRONIC WASTING DISEASE 
RELEASED 79.8 percent of the deer tested positive for the disease 
Thursday, July 03, 2014 
*** How Chronic Wasting Disease is affecting deer population and what’s the 
risk to humans and pets? 
Tuesday, July 01, 2014 
*** CHRONIC WASTING DISEASE CWD TSE PRION DISEASE, GAME FARMS, AND 
POTENTIAL RISK FACTORS THERE FROM 
another reason that not testing all deer for CWD, OF ALL AGES, risk 
spreading CWD further, by ignoring the fact that young deer are susceptible to 
CWD ;
Saturday, February 04, 2012 
*** Wisconsin 16 age limit on testing dead deer Game Farm CWD Testing 
Protocol Needs To Be Revised 
Approximately 4,200 fawns, defined as deer under 1 year of age, were 
sampled from the eradication zone over the last year. The majority of fawns 
sampled were between the ages of 5 to 9 months, though some were as young as 1 
month. 
*** Two of the six fawns with CWD detected were 5 to 6 months old. 
All six of the positive fawns were taken from the core area of the CWD 
eradication zone where the highest numbers of positive deer have been 
identified. ... 
snip...
"Finding CWD prions in both lymph and brain tissues of deer this young is 
slightly surprising," said Langenberg, "and provides information that CWD 
infection and illness may progress more rapidly in a white-tailed deer than 
previously suspected. Published literature suggests that CWD doesn't cause 
illness in a deer until approximately 16 months of age. Our fawn data shows that 
a few wild white-tailed deer may become sick from CWD or may transmit the 
disease before they reach that age of 16 months." ... see full text and more 
here ; Saturday, February 04, 2012 
Wisconsin 16 MONTH age limit on testing dead deer Game Farm CWD Testing 
Protocol Needs To Be Revised 
Therefore, in the USA, materials from cervids other than CWD positive 
animals may be used in animal feed and feed ingredients for non-ruminants. 
The amount of animal PAP that is of deer and/or elk origin imported from 
the USA to GB can not be determined, however, as it is not specified in TRACES. 
It may constitute a small percentage of the 8412 kilos of non-fish origin 
processed animal proteins that were imported from US into GB in 2011. 
Overall, therefore, it is considered there is a __greater than negligible 
risk___ that (nonruminant) animal feed and pet food containing deer and/or elk 
protein is imported into GB. 
There is uncertainty associated with this estimate given the lack of data 
on the amount of deer and/or elk protein possibly being imported in these 
products. 
2003D-0186 Guidance for Industry: Use of Material From Deer and Elk In 
Animal Feed
EMC 1 Terry S. Singeltary Sr. Vol #: 1 
see my full text submission here ; 
Conclusion
European red deer are susceptible to infection with the cattle BSE agent, 
not only by the intra-cerebral but also by the oral route, and although the 
clinical signs and spong- iform change are similar to those of CWD in the same 
species, these two infections can be easily differentiated. The lack of lymphoid 
involvement, the PrPd truncation pattern both "in vivo" and "in vitro", and the 
predominantly intracellular accumulation of PrPd are features of deer BSE that 
are in contrast with those of deer CWD. However, only one of six deer developed 
disease after alimentary exposure to 25 g of a BSE brain pool homogenate after 
an incubation period of nearly 5 years; this suggests a strong species barrier 
but if a TSE in European red deer should ever be identified then BSE/CWD 
discrimination would be an urgent priority. To determine whether there are 
potential naturally occurring BSE-like strains and to determine the degree to 
which there is strain variation, it would be necessary to examine many more 
naturally occurring CWD cases. These results will support the ongoing European 
surveillance for natural TSEs in red deer and the further assessment of 
potential risk to human health.
Published: 27 July 2009 BMC Veterinary Research 2009, 5:26 
doi:10.1186/1746-6148-5-26 Received: 12 February 2009 Accepted: 27 July 2009 
This article is available from: http://www.biomedcentral.com/1746-6148/5/26 
© 2009 Martin et al; licensee BioMed Central Ltd. This is an Open Access article 
distributed under the terms of the Creative Commons Attribution License (http://creativecommons.org/licenses/by/2.0), 
which permits unrestricted use, distribution, and reproduction in any medium, 
provided the original work is properly cited.
Sunday, December 15, 2013 
*** FDA PART 589 -- SUBSTANCES PROHIBITED FROM USE IN ANIMAL FOOD OR FEED 
VIOLATIONS OFFICIAL ACTION INDICATED OIA UPDATE DECEMBER 2013 UPDATE
Tuesday, December 23, 2014 
*** FDA PART 589 -- SUBSTANCES PROHIBITED FROM USE IN ANIMAL FOOD OR FEED 
VIOLATIONS OFFICIAL ACTION INDICATED OAI UPDATE DECEMBER 2014 BSE TSE PRION 
Monday, June 23, 2014 
PRION 2014 CHRONIC WASTING DISEASE CWD 
*** The potential impact of prion diseases on human health was greatly 
magnified by the recognition that interspecies transfer of BSE to humans by beef 
ingestion resulted in vCJD. While changes in animal feed constituents and 
slaughter practices appear to have curtailed vCJD, there is concern that CWD of 
free-ranging deer and elk in the U.S. might also cross the species barrier. 
Thus, consuming venison could be a source of human prion disease. Whether BSE 
and CWD represent interspecies scrapie transfer or are newly arisen prion 
diseases is unknown. Therefore, the possibility of transmission of prion disease 
through other food animals cannot be ruled out. There is evidence that vCJD can 
be transmitted through blood transfusion. There is likely a pool of unknown size 
of asymptomatic individuals infected with vCJD, and there may be asymptomatic 
individuals infected with the CWD equivalent. These circumstances represent a 
potential threat to blood, blood products, and plasma supplies. 
>>>***>>>Here we show that a panel of sheep scrapie 
prions transmit to several tgHu mice models with an efficiency comparable to 
that of cattle BSE. The serial transmission of different scrapie isolates in 
these mice led to the propagation of prions that are phenotypically identical to 
those causing sporadic CJD (sCJD) in humans. These results demonstrate that 
scrapie prions have a zoonotic potential and raise new questions about the 
possible link between animal and human prions. <<<***<<< 
Tuesday, December 16, 2014 
Evidence for zoonotic potential of ovine scrapie prions 
Hervé Cassard,1, n1 Juan-Maria Torres,2, n1 Caroline Lacroux,1, Jean-Yves 
Douet,1, Sylvie L. Benestad,3, Frédéric Lantier,4, Séverine Lugan,1, Isabelle 
Lantier,4, Pierrette Costes,1, Naima Aron,1, Fabienne Reine,5, Laetitia 
Herzog,5, Juan-Carlos Espinosa,2, Vincent Beringue5, & Olivier Andréoletti1, 
Affiliations Contributions Corresponding author Journal name: Nature 
Communications Volume: 5, Article number: 5821 DOI: doi:10.1038/ncomms6821 
Received 07 August 2014 Accepted 10 November 2014 Published 16 December 2014 
Article tools Citation Reprints Rights & permissions Article metrics 
Abstract 
Although Bovine Spongiform Encephalopathy (BSE) is the cause of variant 
Creutzfeldt Jakob disease (vCJD) in humans, the zoonotic potential of scrapie 
prions remains unknown. Mice genetically engineered to overexpress the human 
prion protein (tgHu) have emerged as highly relevant models for gauging the 
capacity of prions to transmit to humans. These models can propagate human 
prions without any apparent transmission barrier and have been used used to 
confirm the zoonotic ability of BSE. Here we show that a panel of sheep scrapie 
prions transmit to several tgHu mice models with an efficiency comparable to 
that of cattle BSE. The serial transmission of different scrapie isolates in 
these mice led to the propagation of prions that are phenotypically identical to 
those causing sporadic CJD (sCJD) in humans. These results demonstrate that 
scrapie prions have a zoonotic potential and raise new questions about the 
possible link between animal and human prions. 
Subject terms: Biological sciences• Medical research At a glance 
see more here ;
2001
Suspect symptoms 
What if you can catch old-fashioned CJD by eating meat from a sheep 
infected with scrapie? 
28 Mar 01 
Most doctors believe that sCJD is caused by a prion protein deforming by 
chance into a killer. But Singeltary thinks otherwise. He is one of a number of 
campaigners who say that some sCJD, like the variant CJD related to BSE, is 
caused by eating meat from infected animals. Their suspicions have focused on 
sheep carrying scrapie, a BSE-like disease that is widespread in flocks across 
Europe and North America. 
Now scientists in France have stumbled across new evidence that adds weight 
to the campaigners' fears. To their complete surprise, the researchers found 
that one strain of scrapie causes the same brain damage in mice as sCJD. 
"This means we cannot rule out that at least some sCJD may be caused by 
some strains of scrapie," says team member Jean-Philippe Deslys of the French 
Atomic Energy Commission's medical research laboratory in Fontenay-aux-Roses, 
south-west of Paris. Hans Kretschmar of the University of Göttingen, who 
coordinates CJD surveillance in Germany, is so concerned by the findings that he 
now wants to trawl back through past sCJD cases to see if any might have been 
caused by eating infected mutton or lamb... 
2001 
Suspect symptoms 
What if you can catch old-fashioned CJD by eating meat from a sheep 
infected with scrapie? 
28 Mar 01 
Like lambs to the slaughter 
31 March 2001 
by Debora MacKenzie Magazine issue 2284. 
FOUR years ago, Terry Singeltary watched his mother die horribly from a 
degenerative brain disease. Doctors told him it was Alzheimer's, but Singeltary 
was suspicious. The diagnosis didn't fit her violent symptoms, and he demanded 
an autopsy. It showed she had died of sporadic Creutzfeldt-Jakob disease. 
Most doctors believe that sCJD is caused by a prion protein deforming by 
chance into a killer. But Singeltary thinks otherwise. He is one of a number of 
campaigners who say that some sCJD, like the variant CJD related to BSE, is 
caused by eating meat from infected animals. Their suspicions have focused on 
sheep carrying scrapie, a BSE-like disease that is widespread in flocks across 
Europe and North America. 
Now scientists in France have stumbled across new evidence that adds weight 
to the campaigners' fears. To their complete surprise, the researchers found 
that one strain of scrapie causes the same brain damage in mice as sCJD. 
"This means we cannot rule out that at least some sCJD may be caused by 
some strains of scrapie," says team member Jean-Philippe Deslys of the French 
Atomic Energy Commission's medical research laboratory in Fontenay-aux-Roses, 
south-west of Paris. Hans Kretschmar of the University of Göttingen, who 
coordinates CJD surveillance in Germany, is so concerned by the findings that he 
now wants to trawl back through past sCJD cases to see if any might have been 
caused by eating infected mutton or lamb. ...snip...end
see more here ;
Thursday, July 24, 2014
*** Protocol for further laboratory investigations into the distribution of 
infectivity of Atypical BSE SCIENTIFIC REPORT OF EFSA
From: Terry S. Singeltary Sr. 
Sent: Friday, January 13, 2012 4:19 PM 
To: Terry S. Singeltary Sr. 
Subject: deadstock downer cows NSLP
> > > Ackerman says downed cattle are 50 times more likely to have 
mad cow disease (also known as Bovine Spongiform Encephalopathy, or BSE) than 
ambulatory cattle that are suspected of having BSE. Of the 20 confirmed cases of 
mad cow disease in North America since 1993, at least 16 have involved downer 
cattle, he said. < < < 
don’t forget the children... 
PLEASE be aware, for 4 years, the USDA fed our children all across the 
Nation (including TEXAS) dead stock downer cows, the most high risk cattle for 
BSE aka mad cow disease and other dangerous pathogens. 
who will watch our children for CJD for the next 5+ decades ??? 
WAS your child exposed to mad cow disease via the NSLP ??? 
Thursday, November 28, 2013 
Department of Justice Former Suppliers of Beef to National School Lunch 
Program Settle Allegations of Improper Practices and Mistreating Cows 
seems USDA NSLP et al thought that it would be alright, to feed our 
children all across the USA, via the NSLP, DEAD STOCK DOWNER COWS, the most high 
risk cattle for mad cow type disease, and other dangerous pathogens, and they 
did this for 4 years, that was documented, then hid what they did by having a 
recall, one of the largest recalls ever, and they made this recall and masked 
the reason for the recall due to animal abuse (I do not condone animal abuse), 
not for the reason of the potential for these animals to have mad cow BSE type 
disease (or other dangerous and deadly pathogens). these TSE prion disease can 
lay dormant for 5, 10, 20 years, or longer, WHO WILL WATCH OUR CHILDREN FOR THE 
NEXT 5 DECADES FOR CJD ??? 
Saturday, September 21, 2013 
Westland/Hallmark: 2008 Beef Recall A Case Study by The Food Industry 
Center January 2010 THE FLIM-FLAM REPORT 
DID YOUR CHILD CONSUME SOME OF THESE DEAD STOCK DOWNER COWS, THE MOST HIGH 
RISK FOR MAD COW DISEASE ??? this recall was not for the welfare of the animals. 
...tss you can check and see here ; (link now dead, does not work...tss) 
try this link ; 
Saturday, August 30, 2014 
Maine Firm Recalls Ribeye and Carcass Products That May Contain Specified 
Risk Materials SRM TSE PRION aka mad cow type disease
Friday, December 19, 2014 
Rancho Alleged Cancerous Eyeball Case Going To Trial 
Tuesday, December 23, 2014 
FDA PART 589 -- SUBSTANCES PROHIBITED FROM USE IN ANIMAL FOOD OR FEED 
VIOLATIONS OFFICIAL ACTION INDICATED OAI UPDATE DECEMBER 2014 BSE TSE PRION 
Sunday, December 15, 2013 
FDA PART 589 -- SUBSTANCES PROHIBITED FROM USE IN ANIMAL FOOD OR FEED 
VIOLATIONS OFFICIAL ACTION INDICATED OIA UPDATE DECEMBER 2013 UPDATE
Thursday, June 6, 2013 
BSE TSE PRION USDA FDA MAD COW FEED COMPLIANCE REPORT and NAI, OAI, and VAI 
ratings as at June 5, 2013 
Sunday, November 13, 2011 
*** California BSE mad cow beef recall, QFC, CJD, and dead stock downer 
livestock 
Thursday, February 13, 2014 
HSUS VS USDA ET AL BAN DOWNER CALVES FOR HUMAN CONSUMPTION (*veal) and 
potential BSE risk factor there from 
Saturday, November 10, 2012 
Wisconsin Firm Recalls Beef Tongues That May Contain Specified Risk 
Materials Nov 9, 2012 WI Firm Recalls Beef Tongues 
Saturday, July 23, 2011 
CATTLE HEADS WITH TONSILS, BEEF TONGUES, SPINAL CORD, SPECIFIED RISK 
MATERIALS (SRM's) AND PRIONS, AKA MAD COW DISEASE 
Sunday, October 18, 2009
Wisconsin Firm Recalls Beef Tongues That Contain Prohibited Materials SRM 
WASHINGTON, October 17, 2009
Thursday, October 15, 2009
Nebraska Firm Recalls Beef Tongues That Contain Prohibited Materials SRM 
WASHINGTON, Oct 15, 2009
Thursday, June 26, 2008
Texas Firm Recalls Cattle Heads That Contain Prohibited Materials
Tuesday, July 1, 2008
Missouri Firm Recalls Cattle Heads That Contain Prohibited Materials 
SRMs
Friday, August 8, 2008
Texas Firm Recalls Cattle Heads That Contain Prohibited Materials SRMs 
941,271 pounds with tonsils not completely removed
Saturday, April 5, 2008
SRM MAD COW RECALL 406 THOUSAND POUNDS CATTLE HEADS WITH TONSILS 
KANSAS
Wednesday, April 30, 2008
Consumption of beef tongue: Human BSE risk associated with exposure to 
lymphoid tissue in bovine tongue in consideration of new research findings
Wednesday, April 30, 2008
Consumption of beef tongue: Human BSE risk associated with exposure to 
lymphoid tissue in bovine tongue in consideration of new research findings
Friday, October 15, 2010
BSE infectivity in the absence of detectable PrPSc accumulation in the 
tongue and nasal mucosa of terminally diseased cattle
SPECIFIED RISK MATERIALS SRMs
Tuesday, December 30, 2014 
*** TSEAC USA Reason For Recalls Blood products, collected from a donors 
considered to be at increased risk for Creutzfeldt-Jakob Disease (CJD), were 
distributed END OF YEAR REPORT 2014
Wednesday, December 11, 2013 
*** Detection of Infectivity in Blood of Persons with Variant and Sporadic 
Creutzfeldt-Jakob Disease ***
BAD BLOOD AND TSE PRION DISEASE
atypical BSE a spontaneous event ??? 
if that's the case, then France is having one hell of an epidemic of 
atypical BSE, probably why they stopped testing for BSE $$$
Sunday, October 5, 2014
France stops BSE testing for Mad Cow Disease
Thursday, July 24, 2014 
*** Protocol for further laboratory investigations into the distribution of 
infectivity of Atypical BSE SCIENTIFIC REPORT OF EFSA New protocol for Atypical 
BSE investigations 
>>> The generally older age of the identified H-BSE and L-BSE 
cases, and their apparently low prevalence in the population, suggest that these 
Atypical BSE forms could be arising spontaneously.
if that is the case, then FRANCE has an exceedingly high rate of 
spontaneous atypical BSE cases. 
*** Singeltary reply ; Molecular, Biochemical and Genetic Characteristics 
of BSE in Canada Singeltary reply ; 
Monday, December 1, 2014
Germany Bovine Spongiform Encephalopathy BSE CJD TSE Prion disease A Review 
December 1, 2014 
SUMMARY REPORT CALIFORNIA ATYPICAL L-TYPE BOVINE SPONGIFORM ENCEPHALOPATHY 
CASE INVESTIGATION JULY 2012 CALIFORNIA
Summary Report BSE 2012
Executive Summary 
Saturday, August 4, 2012 
Final Feed Investigation Summary - California atypical L-type BSE Case - 
July 2012 
Saturday, August 4, 2012 
Update from APHIS Regarding Release of the Final Report on the BSE 
Epidemiological Investigation 
Tuesday, December 16, 2014 
Evidence for zoonotic potential of ovine scrapie prions 
Scrapie from sheep could infect humans with 'mad cow disease', study finds 
Tuesday, December 2, 2014 
UK EXPORTS OF MBM TO WORLD Bovine Spongiform Encephalopathy BSE TSE Prion 
aka Mad Cow Disease
USA, NORTH AMERICA, MBM (or any potential TSE prion disease) EXPORTS TO THE 
WORLD (?) [protected by the BSE MRR policy] $$$
Sunday, December 28, 2014 
*** Reverse Freedom of Information Act request rFOIA FSIS USDA APHIS TSE 
PRION aka BSE MAD COW TYPE DISEASE December 2014 
2014
>>> The generally older age of the identified H-BSE and L-BSE 
cases, and their apparently low prevalence in the population, suggest that these 
Atypical BSE forms could be arising spontaneously.
if that is the case, then FRANCE has an exceedingly high rate of 
spontaneous atypical BSE cases. 
snip...
see full text ;
*** Singeltary reply ; Molecular, Biochemical and Genetic Characteristics 
of BSE in Canada Singeltary reply ; 
Thursday, November 18, 2010
UNITED STATES OF AMERICA VS GALEN J. NIEHUES FAKED MAD COW FEED TEST ON 92 
BSE INSPECTION REPORTS FOR APPROXIMATELY 100 CATTLE OPERATIONS 
Dustin Douglass was indicted and charged with making a fraudulent 
application to the VA, in an effort to obtain benefits from injuries Douglas 
represented he suffered while deployed in Iraq. Based on his application, the VA 
provided benefits totaling $22,148.53. Douglass claimed he suffered various 
injuries and illnesses as a result of his service in combat. The investigation 
revealed Douglass had, in fact, been deployed to Iraq, but had served as a 
computer specialist, had never been in combat, and did not suffer the 
service-related injuries and illnesses he claimed to have suffered. Douglass was 
placed on supervised release for 3 years, and required to pay $22,148.53 in 
restitution. Galen Niehues, an inspector for the Nebraska Department of 
Agriculture, (NDA), was convicted of mail fraud for submitting falsified reports 
to his employer concerning inspections he was supposed to perform at Nebraska 
cattle operations. Niehues was tasked with performing inspections of Nebraska 
ranches, cattle and feed for the presence of neurological diseases in cattle 
including Bovine Spongiform Encephalopathy (BSE), also known as “Mad Cow 
Disease”. Niehues was to identify cattle producers, perform on-site inspections 
of the farm sites and cattle operations, ask producers specific questions about 
feed, and take samples of the feed. Niehues was to then submit feed samples for 
laboratory analysis, and complete reports of his inspections and submit them to 
the NDA and to the Federal Food and Drug Administration (FDA). An investigation 
by the FDA and NDA revealed Niehues had fabricated approximately 100 BSE 
inspections and inspection reports. When confronted, Niehues admitted his 
reports were fraudulent, and that had fabricated the reports and feed samples he 
submitted to the NDA. Niehues received a sentence of 5 years probation, a 3-year 
term of supervised release, and was required to pay $42,812.10 in 
restitution.
Thursday, July 24, 2014 
*** Protocol for further laboratory investigations into the distribution of 
infectivity of Atypical BSE SCIENTIFIC REPORT OF EFSA New protocol for Atypical 
BSE investigations ***
Tuesday, December 23, 2014 
FDA PART 589 -- SUBSTANCES PROHIBITED FROM USE IN ANIMAL FOOD OR FEED 
VIOLATIONS OFFICIAL ACTION INDICATED OAI UPDATE DECEMBER 2014 BSE TSE PRION 
Sunday, December 15, 2013 
FDA PART 589 -- SUBSTANCES PROHIBITED FROM USE IN ANIMAL FOOD OR FEED 
VIOLATIONS OFFICIAL ACTION INDICATED OIA UPDATE DECEMBER 2013 UPDATE
Thursday, June 6, 2013 
BSE TSE PRION USDA FDA MAD COW FEED COMPLIANCE REPORT and NAI, OAI, and VAI 
ratings as at June 5, 2013 
Saturday, December 6, 2014 
Detection of Bovine Central Nervous System Tissues in Rendered Animal 
By-Products by One-Step Real-Time Reverse Transcription PCR Assay 
Friday, December 5, 2014 
SPECIAL ALERT The OIE recommends strengthening animal disease surveillance 
worldwide 
OIE BSE TSE PRION AKA MAD COW DISEASE ?
‘’the silence was deafening’’ ...tss
Tuesday, December 30, 2014 
TSEAC USA Reason For Recalls Blood products, collected from a donors 
considered to be at increased risk for Creutzfeldt-Jakob Disease (CJD), were 
distributed END OF YEAR REPORT 2014
UPDATE* NOVEMBER 16, 2014 vpspr, sgss, sffi, TSE, an iatrogenic by-product 
of gss, ffi, familial type prion disease, what it ??? 
Friday, January 10, 2014 
Greetings again Friends, Neighbors, and Colleagues, 
I would kindly like to follow up on ‘vpspr, sgss, sffi, TSE, an iatrogenic 
by-product of gss, ffi, familial type prion disease, what it ???’ ran across an 
old paper from 1984, that some might find interest in, and I will update the 
link with this old science paper from 1984, a 2010 paper from Japan, and some 
information on scrapie transmission. The paper from Japan first, then the 1984 
paper, and then the scrapie transmission studies. 
***The occurrence of contact cases raises the possibility that transmission 
in families may be effected by an unusually virulent strain of the agent. 
From: Terry S. Singeltary Sr. 
Sent: Saturday, November 15, 2014 9:29 PM 
To: Terry S. Singeltary Sr. 
Subject: THE EPIDEMIOLOGY OF CREUTZFELDT-JAKOB DISEASE R. G. WILL 
1984
THE EPIDEMIOLOGY OF CREUTZFELDT-JAKOB DISEASE 
R. G. WILL 
1984
snip...
Friday, January 10, 2014 
vpspr, sgss, sffi, TSE, an iatrogenic by-product of gss, ffi, familial type 
prion disease, what it ??? 
Sunday, April 06, 2014 
SPORADIC CJD and the potential for zoonotic transmission there from, either 
directly or indirectly via friendly fire iatrogenic mode, evidence to date
Sunday, November 23, 2014 
Confirmed Variant Creutzfeldt-Jakob Disease (variant CJD) Case in Texas in 
June 2014 confirmed as USA case NOT European 
‘’The specific overseas country where this patient’s infection occurred is 
less clear largely because the investigation did not definitely link him to a 
country where other known vCJD cases likely had been infected.’’ 
Sunday, December 14, 2014 
ALERT new variant Creutzfeldt Jakob Disease nvCJD or vCJD, sporadic CJD 
strains, TSE prion aka Mad Cow Disease United States of America Update December 
14, 2014 Report
Sunday, June 29, 2014 
Transmissible Spongiform Encephalopathy TSE Prion Disease North America 
2014 
maybe it's time to start taking seriously about food production and the 
potential environmental contamination therefrom, in terms of the TSE prion 
disease.
what about the environment and tse prion, and using bovine blood, and or 
any animal blood, to spread across the land, and the potential risk factors 
therefrom for the environment.
how can practices such as this still be applied today, with what we now 
know about the TSE prion and blood with nvCJD, atypical TSE prion disease and 
infectivity therefrom, such as CWD, and or the atypical TSE prion disease in 
different species, and what we don't know yet, and the environment therefrom, 
and how long the tse prion can persist in the environment, and still practice 
such practices in 2015 and beyond?
environmental risk factors for the TSE prion disease
Cornell Waste Management Institute
Appendix A Characteristics of Raw Materials Table A.1
% N C:N ratio Moisture Bulk density
Material Type of value (dry weight) (weight to weight) content % (wet 
weight) (pounds per cubic yard)
Fish and meat processing
Blood wastes (slaughterhouse waste and dried blood)
Typical 13-14 3-3.5 10-78 -
snip...
Mixed slaughterhouse waste Typical 7-10 2-4 - -
Poultry carcasses Typical 2.4 b 5 65 -
see ;
The paunch contents, ‘paunch manure’ (partially digested feed), is 
estimated to range from 27 to 40 kg. The paunch can be handled in four ways: 
1: Total dumping. All of the paunch contents is flushed away into the 
sewer. 2: Wet dumping. The paunch contents are washed out and the wet slurry is 
screened on the presence of gross solids, which are subsequently removed.
3: Dry dumping. The paunch contents are dumped for subsequent rendering or 
for disposal as solid waste without needless water flushing.
4: Whole paunch handling. The entire paunch may be removed, intact, for 
rendering or for disposal as solid waste.
2. SLAUGHTERHOUSES
Produced by: Agriculture and Consumer Protection Title: Management of Waste 
from Animal Product Processing... 
2.1.1. Description of the slaughter process.
 Figure 1 presents a flow diagram of a red meat slaughterhouse.
Slaughtering
In slaughterhouses animals are received and kept around in stockyards and 
pens for 1 day. The animals are watered, but in most cases not fed unless they 
are kept more than 1 day.
The animals are then driven from the holding pens to the slaughtering area 
where the following activities take place: 
- Stunning;
- Suspension from an overhead rail by the hind legs;
*** - Sticking and bleeding over a collecting trough. The collected blood 
may be sewered or processed; 
Cattle Pigs
Denmark England U.S. Denmark Sweden U.S.* U.S.*
The percentages of by-products in some western countries are presented in 
Table 3.
Blood 3-4 3 4 3 4 3
snip...
2.3.2.1. Wastewater by red meat slaughtering
Major contribution to the total waste load.
Production of blood: Of all waste products, the waste in the form of blood 
has the highest polluting value. Blood itself has a high BOD: 150,000 - 200,000 
mg/l, the extreme value being 405,000 mg/l. (Domestic wastewater has a BOD of 
300 mg/l). In the killing, bleeding and skinning phases, blood is produced 
which, when completely sewered, leads to a total waste load of 10 kg BOD per ton 
of LWK. A waste load of up to 3.0 kg BOD per ton of LWK may occur in wastewater 
flowing out of the killing-area and the hide-removal-area.
In order to reduce the waste load, attempts should be made to collect and 
process blood (= drying). Drying of blood can be done by direct heating which 
produces large quantities of bloodwater (corresponding waste load approximately 
1.3 kg BODper ton of LWK) but preferably it is done by indirect (external) 
heating (corresponding waste load approximately 0.3 kg BOD per ton of 
LWK).
Paunch: Paunch manure is the second most important source of pollution. It 
may substantially contribute to the total waste load if not properly handled. 
Dumping (sewering) of the entire paunch content gives a BOD of 2.5 kg per ton of 
LWK. There are several ways to handle paunch (see 2.1.1)
Minor contributions to the total waste load.
Stockyards and pens: Waste results from manure and urine, feed, livestock 
dirt, sanitizers and cleaning agents. The waste will reach the sewer by means of 
water overflowing from water troughs, by rain and snowwater and pen washdown 
water. The sewered raw waste, assuming that solid contaminants have been 
removed, has been estimated at 0.25 kg BOD per ton of LWK.
Slaughtering: During the slaughtering the following wastes are produced 
(Edible offals are excluded because these are considered as meat (by-products)): 
- Blood and tissue produced during hide removal fall on the floor. External 
contamination of the hide with dirt and manure is a secondary source of 
pollutants. The waste load is also increased as a result of cleaning-up 
operations in this area. - Wastewater is produced from intentional overflow from 
scalding tanks that contain blood, dirt, manure and hair (0.15 kg BOD per ton of 
LWK). The fluming of the mechanically removed hair also results in wastewater 
containing residual hair, blood and dirt after recovery of the bulk of the hair 
(0.4 kg BOD per ton of LWK). Recovered hog hair may be be dumped as solid waste, 
washed and baled for marketing (0.7 kg BOD per ton of LWK) or it may be 
hydrolysed by pressure cooking (1 kg BOD per of LWK).
- Slime and casings from intestines. De-sliming and casing washing add 0.6 
kg BOD per ton of LWK to the raw waste load;
- Inedible offals that are produced are hair, recovered from fluming water, 
heads and carcass trimmings, lungs and paunch. They also contribute to the 
amount of wastewater.
Meatpacking: Cutting and deboning operations produce trimmings, blood, 
bones and bone dust. The total of raw waste loads for meat processing plants 
(including cutting and deboning) has been estimated at 5.7 - 6.7 kg BOD per ton 
of product. Meatprocessing operations produce a raw waste load from: 
- Blood, tissues and fat that reach the sewer during cleaning activities; - 
The curing of solutions containing sugar and salt. Pickling can cause a high 
chloride waste, only 25% of the curing brine remains in the product.
- Baking, smoking etc. and energy use (contributing to air 
pollution).
Edible Rendering: Both wet-rendering and continuous rendering at low 
temperatures produce polluted tank water containing residues of fat and protein 
(2 kg BOD per ton of LWK).
Table 9 summarizes the potential wastewater emissions of red meat 
slaughterhouses (no water prevention).
snip... 
4. PROPERTIES OF WASTES RELEVANT TO AGRICULTURAL BENEFIT AND ENVIRONMENTAL 
IMPACT 
4.2.2 Background
Wastes from abattoirs include blood, gut contents, wash waters and sludge 
from dissolved air flotation treatment where this process has been used to 
separate solids from liquid waste materials of the abattoir. Some wastes such as 
hoof parts and bone meal are recycled in other industries (e.g. fertiliser and 
glue). Landspreading of abattoir wastes is probably the best practicable 
environmental option for small-scale abattoirs but it is likely to be much less 
appropriate for modern large-scale abattoir operations.
Landspreading of blood and gut contents from abattoirs is liable to cause 
public nuisance due to odours and environmental concerns. If spread on the soil 
surface it is unsightly and there is potential for disease transmission. The 
material should be dealt with as for untreated sewage sludge and applied to the 
land by subsurface soil injection or else incorporated as soon as possible after 
spreading on the surface of the arable land. The land-use restrictions as for 
untreated sewage sludge should apply. The rate of application of the waste 
should be in accordance with crop requirements for nutrients.
4.2.3 Key Properties
Waste blood is produced in large quantities from abattoirs and has various 
uses including landspreading. Its high fertiliser value has been known for a 
long time, and it is one of the more traditional materials spread on land. Its 
nitrogen content is extremely high and its levels of potassium and phosphorus 
make it a good source of plant nutrients. Nutrients are also found to be more 
available than those found in other organic wastes.
Waste stomach contents consist predominantly of partially digested feed or 
vegetable matter. As with the blood waste, stomach contents usually contain high 
levels of nitrogen, potassium and phosphorus. These nutrients are generally in 
well balanced proportions with an N:P:K ratio of around 5:1:1. Moderately high 
ammonium nitrogen content is an added benefit.
As with many other food processing industries, large volumes of wash waters 
are produced, and the term is often used to describe a wide range of low solid 
waste materials. This category can contain dung and urine from animal holding 
areas and washings from distribution vehicles. As for the other abattoir wastes, 
the wash waters contain a mixture of nitrogen, potassium and phosphorus but at 
lower concentrations.
4.2.4 Potential Problems
From the data above, it is seen that abattoir wastes contain high levels of 
nitrogen, potassium and phosphorus. If applied in excess to plant requirements, 
these elements can cause potential water pollution problems, and may also pose a 
danger to plant health. These wastes also have a tendency to have a high BOD 
which makes the waste readily degradable by soil micro-organisms ; this can 
rapidly result in anaerobic soil conditions if over applied.
In general, slaughterhouse wastes are a recognised source of environmental 
contamination by Salmonella and other zoonotic pathogens (Wray and Sojka 1977, 
Edel et al. 1978) Cryptosporidium may occur in gut contents although not 
necessarily in infective form. Veterinary ante-mortem inspection at 
slaughterhouses ensures that no animal suffering from European 
Commission-Directorate-General for Environment
WRc Ref: CO 4953-2/11768-1 July 2001 50
notifiable disease or any other disease likely to affect the fitness of 
meat is slaughtered for human consumption. However, slaughtered animals may be 
symptomless carriers of pathogenic bacteria and therefore slaughterhouse wastes 
should be used with caution and with restrictions on land for rearing livestock 
or grazing after application.
Strict statutory procedures are now enforced at abattoirs and renderers 
with the intention of removing, for separate disposal, components of cattle 
carcasses which might contain BSE.
snip...
Final report April 11
3.5.6. Abattoir wastes
3.5.6.1. Introduction
In this section, wastes from abattoirs include blood, gut contents, wash 
waters, and sludge from dissolved air flotation (DAF) treatment where this 
process has been used for the separation solids from any liquid waste materials 
of the abattoir (Davis and Rudd, 1999).
It has been reported that 21% of an animal is waste when processed 
(Gendebien et al., 2001). Some of the abattoir wastes, such as bones and hoof 
parts are recycled in other industries (e.g. fertiliser and gelatine). In the 
EU, between 5 to 10 % of abattoir waste is applied to land following composting 
or without any further treatment. This waste mainly consists of gut contents, 
wash waters and blood (Gendebien et al., 2001). For small-scale abattoirs, 
landspreading of the waste is probably the best environmental option but likely 
to be much less appropriate for large-scale operations (Mittal, 2007).
Whereas waste blood and stomach contents have a high fertilizer value due 
to their high nitrogen, phosphorus and potassium content, which makes them a 
good source of plants nutrients, wash waters contain lower levels of nutrients 
(Mittal, 2007). Abattoir wastes may also have a high conductivity and fat 
content (Davis and Rudd, 1999). Blood and gut content from abattoirs are 
included in the exempt industrial wastes for land application. Since most of the 
exempt wastes are not pre-treated or stored at the point of source, it can cause 
public nuisance due to odours, environmental concerns and if spread on the soil 
surface it is unsightly and may have the potential for disease transmission 
(Mittal, 2007). It is recommended that these wastes should be immediately 
incorporated into arable land, or applied to grassland by sub-surface injection 
following a 3 week period to allow the injection slots to close before the use 
of the grass for grazing or conservation (Davis and Rudd, 1999).
Blood
Waste blood is produced in large quantities from abattoirs and used to be 
applied onto land without further treatment as a source of nutrients. Nitrogen 
content in waste blood is extremely high, typically exceeding 15 kg/m3 total 
nitrogen and 2 kg/m3 of ammonium nitrogen. The high nitrogen content combined 
with potassium and phosphorus contents of 1 to 2 kg/m3, waste blood provides a 
good source of plant nutrients, which are in a more available form when compared 
to other organic wastes (Davis and Rudd, 1999). Potential disadvantages are if 
applied in excess to plant requirements, these high levels of elements might 
cause water pollution and pose a danger to plant health (Gendebien et al., 
2001). Abattoir wastes also have a
The Food and Environment Research Agency 83
high biological oxygen demand (BOD) that makes it readily degradable by 
soil microorganisms and thus over application can result in anaerobic soil 
conditions (Davis and Rudd, 1999).
In the EU, however, from the 1st May 2003, the EU Animal By-products 
Regulations require that certain by-products need to be treated before disposal 
(Defra, 2003). Therefore, it is no longer permitted the disposal of untreated 
blood to sewers or landfill or to recover untreated blood via application on 
land. 
 Other abattoir wastes
Other abattoir wastes include waste from where animals are temporarily kept 
(also known as lairage), wastes from biological treatment plants and fat (Davis 
and Rudd, 1999; WRc, 2009). Due to the amount of blood in wastes for treatment 
and disposal, the nitrogen content can be very high, in excess of 8 kg/m3 and 
ammonium nitrogen typically exceeding 1 kg/m3. Potassium, phosphorus and 
magnesium can be in excess of 1 to 2 kg/m3. Different types of abattoirs produce 
different types and amounts of fat, but chicken processing plants are sources of 
high fat materials. Adverse effects on plant growth following application of 
animal fat have been observed at relatively low fat percentages when compared to 
wastes containing other fats and oils (Davis and Rudd, 1999). These wastes 
should also be incorporated into the soil.
snip...
5.3.3. Pathogens
5.3.3.1. Sources
Animal manures contain pathogenic elements in variable quantities depending 
on the animal health. Pathogenic microorganisms such as Esherichia c. O157, 
Salmonella, Listeria, Campylobacter, Cryptosporidium and Giardia have all been 
isolated from cattle, pig and sheep manures (ADAS, Imperial College, JBA 
Consulting, 2005).
5.3.3.2. Upstream control measures
Veterinary medicines are administered to reduce certain harmful pathogens 
and diseases. Waste from infected animals with high risk diseases such as BSE 
should be disposed of separately and not spread on land. However, most pathogens 
of concern to human health do not affect animals and so are not treated with 
medicines.
Upstream measures to reduce pathogens in manures are presented below. 
snip...
*** COMERCIAL IN CONFIDENCE
SPREADING OF UNPROCESSED BLOOD ON LAND
*** The BSE Inquiry / Statement No 19B (supplementary) Dr Alan Colchester 
Issued 06/08/1999 (not scheduled to give oral evidence) SECOND STATEMENT TO THE 
BSE INQUIRY Dr A Colchester BA BM BCh PhD FRCP Reader in Neurosciences & 
Computing, University of Kent at Canterbury; Consultant Neurologist, Guy’s 
Hospital London and William Harvey Hospital Ashford April 1999
snip...
88. Natural decay: Infectivity persists for a long time in the environment. 
A study by Palsson in 1979 showed how scrapie was contracted by healthy sheep, 
after they had grazed on land which had previously been grazed by 
scrapie-infected sheep, even though the land had lain fallow for three years 
before the healthy sheep were introduced. Brown also quoted an early experiment 
of his own (1991), where he had buried scrapie-infected hamster brain and found 
that he could still detect substantial infectivity three years later near where 
the material had been placed. 89. Potential environmental routes of infection: 
Brown discusses the various possible scenarios, including surface or subsurface 
deposits of TSE-contaminated material, which would lead to a build-up of 
long-lasting infectivity. Birds feeding on animal remains (such as gulls 
visiting landfill sites) could disperse infectivity. Other animals could become 
vectors if they later grazed on contaminated land. "A further question concerns 
the risk of contamination of the surrounding water table or even surface water 
channels, by effluents and discarded solid wastes from treatment plants. A 
reasonable conclusion is that there is a potential for human infection to result 
from environmental contamination by BSE-infected tissue residues. The potential 
cannot be quantified because of the huge numbers of uncertainties and 
assumptions that attend each stage of the disposal process". These comments, 
from a long established authority on TSEs, closely echo my own statements which 
were based on a recent examination of all the evidence. 90. Susceptibility: It 
is likely that transmissibility of the disease to humans in vivo is probably 
low, because sheep that die from scrapie and cattle that die from BSE are 
probably a small fraction of the exposed population. However, no definitive data 
are available.
91. Recommendations for disposal procedures: Brown recommends that material 
which is actually or potentially contaminated by BSE should be: 1) exposed to 
caustic soda; 2) thoroughly incinerated under carefully inspected conditions; 
and 3) that any residue should be buried in landfill, to a depth which would 
minimise any subsequent animal or human exposure, in areas that would not 
intersect with any potable water-table source.
92. This review and recommendations from Brown have particular importance. 
Brown is one of the world's foremost authorities on TSEs and is a senior 
researcher in the US National Institutes of Health (NIH). It is notable that 
such a respected authority is forthright in acknowledging the existence of 
potential risks, and in identifying the appropriate measures necessary to 
safeguard public health. Paper by SM Cousens, L Linsell, PG Smith, Dr M 
Chandrakumar, JW Wilesmith, RSG Knight, M Zeidler, G Stewart, RG Will, 
"Geographical distribution of variant CJD in the UK (excluding Northern 
Ireland)". Lancet 353:18-21, 2 nd January 1999 93. The above paper {Appendix 41 
(02/01/99)} (J/L/353/18) examined the possibility that patients with vCJD 
(variant CJD) might live closer to rendering factories than would be expected by 
chance. All 26 cases of vCJD in the UK with onset up to 31 st August 1998 were 
studied. The incubation period of vCJD is not known but by analogy with other 
human TSEs could lie within the range 5-25 years. If vCJD had arisen by exposure 
to rendering products, such exposure might plausibly have occurred 8-10 years 
before the onset of symptoms. The authors were able to obtain the addresses of 
all rendering plants in the UK which were in production in 1988. For each case 
of vCJD, the distance from the place of residence on 1st January 1998 to the 
nearest rendering plant was calculated
snip...
Sunday, December 28, 2014 
*** Reverse Freedom of Information Act request rFOIA FSIS USDA APHIS TSE 
PRION aka BSE MAD COW TYPE DISEASE December 2014 
good luck, good health to all, respectfully, 
Terry S. Singeltary Sr. 
P.O. Box 42
Bacliff, Texas USA 77518
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