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Under Some
Conditions NAP Coverage is Not Required for SURE Eligibility
Dear Art,
Art, you got it wrong. Under some conditions NAP
coverage is not required for SUpplement REvenue (the new
disaster program, SURE) eligibility. It is our understanding, from very
high level sources within the Farm Service Agency (FSA), farmers who have
grain sorghum listed on their insurance contracts with failed wheat can
plant grain sorghum on those acres as long as the wheat is destroyed before
harvest (per the insurance requirements). Irregardless of the stage of
wheat development when the freeze occurred, producers with grain sorghum
listed on their insurance contract are not required to have paid the
NAP fee back on March 15, 2009.
Farmers with failed wheat destroyed BEFORE
it heads out then have the option of either insuring the grain sorghum at
100% and receiving up-front 35% of their wheat indemnity payment OR
taking 100% of their wheat indemnity and then having no insurance on their
grain sorghum. If producers choose to insure the grain sorghum and it does
not have a loss, then they will receive the remaining 65% of their wheat
indemnity payment. However, if the grain sorghum does have a loss, then
they will receive their grain sorghum indemnity payment with no additional
wheat indemnity payments. Given that most producers with freeze-damaged
wheat will not have a yield history with sorghum and the historically high
$8.77/bu revenue insurance price election on wheat, most producers will take
the option of receiving 100% of their wheat indemnity payment and will plant
the grain sorghum at their own risk (sorghum is then considered a "ghost
crop").
Farmers with failed wheat destroyed AFTER
it heads out do not have the option of insuring the grain sorghum because it
will be uninsurable according to the special provisions of insurance for
grain sorghum (this assumes non-irrigated sorghum, irrigated sorghum would
be insurable). In this case producers' only option is to take 100% of the
wheat indemnity payment and then plant the grain sorghum at their own risk
(sorghum is then considered a "ghost crop").
In either case, the SURE eligibility is protected.
Farmers who have grain sorghum listed on their insurance contracts do not
need to pay the NAP fee. Farmers with failed wheat can plant grain sorghum
on those acres as long as the wheat is destroyed before harvest. Farmers
are still eligible for SURE, even if the insurance does not attach to the
grain sorghum because the wheat has headed out. If it is headed, then the
grain sorghum planted on those failed acres is a ghost crop.
If for some reason farmers take the wheat to harvest
and then plant grain sorghum on those wheat acres, it is considered double
crop and farmers had to pay the NAP fee on grain sorghum to remain eligible
for SURE. The exception is if the insurance contract covers double crop
then those farmers would be covered under insurance and would not need to
pay the NAP fee.
National Sorghum Producers
Dear Friends with the National Sorghum Producers,
Thanks for sending me your email comment. This makes
more sense because farmers with grain sorghum listed on their crop insurance
policy will pay premium on the grain sorghum if grain sorghum coverage
attaches. This is certainly within the spirit of the law because farmers
have insurance on their wheat and grain sorghum crops even without paying
the NAP fee. We agree this may be a conflict in the crop insurance program
and the commodity program because the Risk Management Agency (RMA) allows
farmers to only buy one policy on a crop. For example farmers cannot buy
Crop Revenue Coverage policy (CRC) and buy Group Risk Plan (GRP) within the
same county on grain sorghum too. Effectively, farmers would have two
polices on grain sorghum if they purchase both NAP and CRC.
It would be helpful for FSA to clarify the policy with
their county FSA directors because farmers in counties approved by FSA for
double crop, but are not approved for non-irrigated double crop grain
sorghum coverage by RMA, are being told they had to pay the NAP fees back on
March 15, 2009, to maintain SURE eligibility if the wheat is headed out.
Unfortunately, this places the FSA county staff in a difficult position
because they are being asked these questions without the policy being
clearly defined. The author would remind farmers who are frustrated with
the lack of clear guidelines that the “lady across the counter” at the local
FSA office has the same frustrations. Probably what this demonstrates is
how difficult it is to implement a new farm policy in the same year as a
change in administration. If this freeze had happened in a year with all
state FSA directors in place these issues would likely have already been
decided.
If we assume the policy is correct that NAP coverage on
grain sorghum is not required to maintain SURE eligibility, then this policy
raises a number of other issues.
1.
Farmers that do not have grain sorghum listed on their crop
insurance policy are not eligible for SURE payments unless they can meet the
de minimus test if they plant grain sorghum on failed wheat acres.
But assume they only planned to plant double crop grain sorghum so they paid
the NAP fee but did not buy crop insurance because double crop is not an
insurable practice. Would they lose SURE eligibly if they planted on failed
wheat acres that had not headed out because those acres could have been
covered under crop insurance? If the wheat were headed out, then would the
NAP coverage make those uninsured farmers eligible for SURE or would they
need to harvest the wheat before planting the grain sorghum to come under
the NAP coverage for double crop and gain SURE eligibility?
2.
Farmers who normally plant some full season grain sorghum and some
double crop grain sorghum would have paid NAP on the double crop and
purchase crop insurance on the full season grain sorghum. If the wheat crop
has headed out, farmers must then take 100% of the wheat indemnity payment.
Assuming they plant grain sorghum on those failed wheat acres, are they
required to accept the NAP coverage or may those grain sorghum acres be
treated as a ghost crop as would be the case if they had not paid the NAP
fee? Attaching the NAP coverage is a disadvantage for farmers because NAP
guarantee is 50% yield coverage at 55% of the price. The low NAP coverage
is then averaged with the higher wheat revenue coverage that was based on an
$8.77 price will lower the average SURE coverage and any production from the
grain sorghum will reduce the SURE payment. Therefore, grain sorghum that
is classified as double crop with NAP coverage will need to generate a
return that covers the cost of producing grain sorghum and cover the
reduction in the SURE payment before farmers will be better off financially
to plant. The reason for the incentive was caused by a very good revenue
guarantee on wheat, combined with a grain sorghum guarantee that is lower
than a year ago because of the reduced price election that is further
reduced in the NAP formula.
3.
Is haying or graze out of failed wheat acres considered harvest for
the purpose of requiring payment of NAP fees for SURE eligibility?
4.
It is possible only those farmers who harvest a “good” wheat crop and
paid the NAP fee for double crop grain sorghum will benefit from planting
double crop grain sorghum. It is unlikely they will be eligible for a SURE
payment because they will not be able to meet the 10% yield loss test on one
crop of significance.
Farmers who harvest a “poor”
wheat crop may not have an incentive to plant double crop grain sorghum this
year with NAP because SURE guarantees will average the lower NAP coverage
with the higher wheat crop insurance coverage and that will lower the SURE
guarantee, i.e. SURE works best for a single enterprise farm. In
additional any grain sorghum production will count against the SURE payment
and reduce the size of the payment. So, double crop grain sorghum will need
to cover grain sorghum production costs and any reduction in SURE payments
before farmers will have a net gain.
These are all very detailed but important decisions
that must be made quickly because these failed wheat acres have either been
or will be released by the insurance company within the next few days.
Assuming the National Sorghum Producers information is correct, a directive
from Washington to the County FSA directors that farmers are eligible for
SURE payments who plant grain sorghum as a replacement crop if grain sorghum
is listed on their insurance policy needs to be sent in order to eliminate
the confusion.
FSA has sent the guidelines for determining equitable
relief for eligible producers who did not meet Risk Management Purchase
Requirements on 2008 crops. The memo also states “The guidelines for
determining equitable relief for 2009 will be provided at a later date”.
This suggests those decisions on what is considered double crop and require
NAP fees will be released soon.
One final point, grain sorghum was used in the example
but the same rules apply if farmers are planting corn, soybeans, or some
other crop as a replacement crop on failed wheat acres. This was very good
information and thanks for sending it to me.
ART
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