Alan’s practice focuses on the wide range of regulatory issues faced by the global agriculture, food, biotechnology, and bioenergy industries.
Practicing environmental law provides him with daily opportunities to use his legal skills and training to help clients overcome often extremely technical business and regulatory challenges in order to ensure compliance with applicable environmental requirements.
He advises numerous Forbes Global 2000 companies on the legal and regulatory requirements associated with both domestic and foreign production, and the import, export, and distribution of pesticides, industrial biocides, and treated commodities and products. In every matter, Alan strives to meet and exceed his clients’ expectations by providing them with the environmental legal analysis and solutions they need to achieve their objectives.
Alan’s practice includes all aspects of the U.S. Environmental Protection Agency’s (EPA) regulation of pesticides, including the manufacture, import, distribution, labeling, registration, and use of all types of consumer and agricultural pesticide products under the Federal Insecticide, Fungicide and Rodenticide Act (FIFRA). As part of his FIFRA legal practice, Alan frequently supports the data rights objectives of Beveridge & Diamond’s pesticide clients; advises clients on EPA enforcement matters; and prepares data licensing agreements, product distribution agreements, and other related contracts.
Beyond FIFRA, Alan advises pesticide manufacturers on issues arising under other relevant laws—including the Federal Food, Drug, and Cosmetic Act (FFDCA); the Plant Protection Act (PPA); the Endangered Species Act (ESA); the Toxic Substances Control Act (TSCA); and the Freedom of Information Act (FOIA)—and provides guidance in connection with pesticide requirements and data protection issues in the European Union and other jurisdictions around the world. Alan also counsels clients on the regulation of antimicrobial, biocide, and biostimulant products under FIFRA and other regulatory regimes, as well as the coordinated regulation of genetically engineered plants, animals, and insects by EPA, the U.S Food and Drug Administration (FDA), and the U.S. Department of Agriculture (USDA).
More Legal and Business Bylines From Alan J. Sachs
- EPA Releases Updated Draft Guidance for Biostimulant Products - (Posted On Monday, November 30, 2020)
- EPA Announces One of Its Largest-Ever FIFRA Civil Settlements - (Posted On Monday, November 02, 2020)
- FDA Requests Comments on Labeling Cell-Cultured Seafood Products - (Posted On Thursday, October 22, 2020)
- EPA Announces First-Ever Approval Pathways for “Long-Lasting” Anti-Viral Disinfectants, Coatings, and Surfaces - (Posted On Monday, October 19, 2020)
- EPA Finalizes Important Changes to Agency Guidance Procedures - (Posted On Friday, September 25, 2020)
- EPA Proposes to Allow Certain Uses of Biotechnology in Development of Plant-Incorporated Protectants - (Posted On Thursday, September 03, 2020)
- Will California Adopt First-of-its-Kind Legislation Governing GHG Emissions from Land-Based Activities? - (Posted On Tuesday, August 25, 2020)
- In Agency First, EPA Allows Limited Use of Antiviral Disinfectant with Long-Lasting Efficacy Claims - (Posted On Tuesday, August 25, 2020)
- USDA Proposes Overhaul of Organic Program Certification and Enforcement Rules - (Posted On Monday, August 10, 2020)
- USDA Issues Guidance to Facilitate Compliance with Bioengineered Food Disclosure Standard - (Posted On Wednesday, July 08, 2020)