Having sought feedback from our members, we have continued our calls for better communication from the government and for transitional arrangements to be in place.
Clarity needed now
What is clear is that farmers and growers want clarity and information from government now.
Many feel that, bearing in mind the government's plans for the agreement to start in June 2027, any communications on what businesses will need to do will come too late in order to be able to manage change without having a potentially damaging impact on businesses.
Transitional arrangements
The NFU believes the UK Government should negotiate a variable pace transitional arrangement with different start dates for dynamic alignment depending on the degree of divergence and time needed to prepare. In practice, this will mean differentiating between areas where trade barriers can be quickly removed and those where greater time will be required to adjust.
For example, farmers and growers need urgent clarity on timings of any PPP (plant protection product) withdrawals, use-up periods, and dates when replacement actives are due to be authorised and available.
This information needs to be communicated via trade and grower associations and PPP distributors as early as possible.
Failure to secure targeted transitional arrangements for plant protection products and the associated MRLs would have significant negative consequences for farmer and grower businesses.
Supply chain
Farmers and growers remain uncertain about how SPS alignment will affect their supply chain operations.
The area identified as most likely to be affected was the sourcing of raw materials and inputs, followed by transport and logistics, and contract changes.
Exceptions to alignment
It is also important that the government secures exceptions to dynamic alignment to safeguard key areas of progress and innovation. For example, enabling continued access to precision breeding technologies in England which are not currently permitted under EU GMO (genetically modified organisms) regulations.
Additionally, there are areas of legislation which the NFU believes should be out of scope of this agreement, and therefore not subject to dynamic alignment with EU regulations. This includes AMR (antimicrobial resistance) provisions in the EU veterinary medicines regulations to ensure that animal health and welfare is protected while mitigating against the risk of antimicrobial resistance.