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ATCP 100 – Milk
DATCP proposes to set a deferred payment assessment rate that is appropriate to the degree of risk of defaults by milk contractors who owe producers of milk procured under deferred payment contracts. Act 155, with its provisions concerning deferred payments contracts, becomes effective on April 28, 2018. To cover the interim period until a permanent rule is promulgated, the Act requires DATCP to promulgate an emergency rule establishing a milk contractor deferred payment assessment rate to remain in effect for up to 24 months. Accordingly, DATCP is preparing a statement of scope for an emergency rule addressed to this issue.
Policy alternatives.
ATCP 99 - Grain
Without action, current assessment rates may result in grain dealers or grain warehouse keepers paying assessments that are disproportionate to their respective exposure, and grain warehouse keepers could qualify for an assessment reduction when they would otherwise be ineligible.
ATCP 100
DATCP must act or be out of compliance with Wis. Stat. ch. 126. DATCP must implement a rule so milk contractors and milk producers know what assessment rate applies when entering into contracts to defer payment for milk up to 120 days.
4. Statutory authority for the rule (including the statutory citation and language):
Wis. Stat. § 25.463 creates the Wisconsin Agricultural Producer Security Trust Fund.
Wis. Stat. § 93.07 (1) directs DATCP to make such regulations as are necessary for the discharge of all the powers and duties of the department.
Wis. Stat. § 126.46 (1) directs DATCP to establish by rule annual fund assessments for milk contractors, including assessments for deferred payment contracts entered into under s. 126.485.
Wis. Stat. § 126.81 (1) (a) allows DATCP to promulgate rules to interpret and implement Wis. Stat. ch. 126.
Wis. Stat. § 126.81 (2m) requires DATCP to promulgate rules that specify fund assessments under Wis. Stat. §. 126.46 (1).
Wis. Stat. § 126.88 (2) (a) directs DATCP to promulgate a rule modifying assessments when the Fund balance or a portion of the Fund balance falls below the minimum amounts or rises above the maximum amounts required under Wis. Stats. § 126.88 (1) (a) through (e).
5. Estimate of the amount of time that state employees will spend to develop the rule and of other resources necessary to develop the rule:
DATCP estimates that it will use approximately 0.25 FTE staff to develop this rule. That includes time required for investigation and analysis, rule drafting, preparing related documents, coordinating council meetings with the Agricultural Producer Security Council, holding public hearings, and communicating with other affected persons and groups. DATCP will use existing staff to develop this rule.
6. Description of all entities that may be impacted by the rule:
Milk contractors, milk producers, grain dealers, and grain warehouse keepers could be impacted as a result of changes made to assessment formulas.
Milk, grain, and vegetable producers are all protected against financial defaults by contractors who contribute to the overall Fund. All could potentially benefit by a higher agricultural producer security fund balance as a result of the additional deferred payment assessment.
7. Summary and preliminary comparison of any existing or proposed federal regulation that is intended to address the activities to be regulated by the rule:
ATCP 99 – Grain
The United States Warehouse Act is a voluntary regulatory program administered by Farm Service Agency (FSA), a unit within USDA. Under the Act, warehouse keepers who obtain a warehouse license must comply with several FSA regulations. Generally, the warehouse keeper must maintain enough grain in inventory to cover 100% of depositor obligations at all times. Further, FSA licensed warehouse keepers must submit financial statements, submit to inspections by USDA auditors, and post surety bonds. In the event a warehouse defaults, FSA can convert the bonds to cash and disperse the proceeds to depositors. The federal grain warehouse license is officially a voluntary program; in practice, it is not completely voluntary. Every state that has significant grain production (including Wisconsin) has some type of state grain warehousing law. These laws require grain warehouse keepers to obtain a license but allow them to choose either a state license or a federal license. Those who choose a federal license are exempt from the state licensing program.
ATCP 100 – Milk
No federal programs currently exist that offer milk producer security from contractor payment defaults.
8. Anticipated economic impact
DATCP expects the proposed rule to have minimal to no economic impact statewide or locally to the general public. However, the three industries (grain, milk, and vegetable) will benefit from greater coverage offered by the Fund if a future default should occur.
Contact Person: David A. Woldseth, Program and Policy Analyst, Division of Trade and Consumer Protection, DATCP; Phone (608) 224-5164.
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