Livestock brands need to re-register

West Hawaii Today

Owners of livestock brands in Hawaii have until Dec. 31 to re-register their brands with the state Department of Agriculture or risk losing their rights to their brands.

Hawaii law requires owners of livestock in the state to register their brand to secure its validity and individuality. While it is not mandatory to use brands in Hawaii, it is mandatory for owners using brands to register them every five years. The registration fee is $10.

Between 2016 and 2020 there were 726 registered brands in the state.

Typically, cattle are branded prior to one year of age so owners have a permanent and unique identification on their animals that traces them back to their ownership. In Hawaii, there are about 1,100 cattle operations ranging from herds of about 25,000 head of cattle to those with just a few head.

For more information and applications, brand owners should contact the Animal Disease Control Branch at (808) 483-7106 or email hdoa.ldc@hawaii.gov. To obtain a brand registration form, visit http://hdoa.hawaii.gov/ai/files/2012/12/DC29.pdf

Hamakua Macadamia Nut Co. offers locally grown nuts in unique flavors

If you’re looking for a local, healthy snack that tastes great too, look no further than Hamakua Macadamia Nut Company! HI Now hosts Kanoe Gibson and Kainoa Carlson are doing a blind taste test to see if they can identify the company’s unique flavors.

Please CLICK to watch the complete segment.

Sponsored by Hawaii State Department of Agriculture

Hamakua Macadamia Nut Company farms approximately 1,600 acres in the southern part of Hawaii Island in the District of Kau. The company also has about 400 acres just outside of Hilo and purchases crop from over 150 independent farmers from all over the Isand of Hawaii.

What sets its macadamia nuts apart from the rest? The freshness. Since the nuts are grown and processed in Hawaii, there is never a delay in getting fresh product to families around the islands.

Its number one selling product is the Lightly Salted Macadamia Nut. The company also offers Unsalted, Chili Peppah, Wasabi, Kikkoman, Island Onion and SPAM flavors. If you have a sweet tooth, it also makes a Kona Coffee Glazed Macadamia Nut, which is great for a dessert or morning pick-me-up!

Macadamia nuts are high in monosaturated fats, or the “good fats,” which help lower cholesterol levels. Macadamia nuts are also a wonderful source of vitamins and protein.

Hamakua Macadamia Nut Company also sells product in larger quantities than its standard 5 oz. cans or 10 oz. pouches. You can also find a four lb. vacuum sealed bag in Salted and Unsalted.

If you have had a macadamia nut cookie in Hawaii, the odds are that the nut came from Hamakua Macadamia Nut Company! If you want to learn more or order any of the products from Hamakua Macadamia Nut Company, you can visit hawnnut.com.

To learn more about how you can get the Hawaii Seal of Quality on your products, get more information here: sealofquality.hawaii.gov

For more information: hawnnut.com

Under Mounting Pressure, Jones Act Lobby Claims the Law Is Cost‐​Free to Hawaii

Cato Institute
By Colin Grabow

Jones Act supporters in Hawaii can be forgiven for feeling a bit on edge these days. Last December Rep. Ed Case (D-Hawaii), citing the Jones Act’s impact on the state’s cost of living, introduced three bills aimed at reforming the law. A May poll of state residents, meanwhile, found that, among those familiar with the Jones Act, a stunning 85 percent thought it should be repealed or changed. And just last month the Honolulu-based Grassroot Institute of Hawaii released a study placing the Jones Act’s annual cost to the state at $1.2 billion.

Amidst this mounting pressure the American Maritime Partnership (AMP), a pro-Jones Act lobbying group, has attempted to change the narrative with a new study of its own. Its conclusion: the Jones Act has no effect on the state’s sky-high cost of living.

It’s a claim that should be greeted with considerable skepticism.

Passed in 1920, the Jones Act restricts the domestic waterborne transportation of goods to vessels that are U.S.-registered and U.S.-built as well as mostly U.S.-owned and crewed. That is to say, over 99 percent of the world’s ships are off-limits for domestic transport. And those that can be used cost far more to build—4-5 times as much as those built in other countries—and have significantly higher crewing costs.

This combination of expensive ships and crew, along with reduced competition, inevitably leads to higher transportation costs. That’s no small thing for one of the most geographically isolated parts of the United States that imports most of what it consumes.

But setting aside these theoretical considerations, the report suffers from methodological issues that bring its conclusions into question. Its claims are largely based on an online survey of 200 items at four big-box retailers—Costco, Home Depot, Target and Walmart—in both Los Angeles (where Jones Act ships bound for Hawaii depart from) and Honolulu (where these ships arrive). These items are then placed into four categories consisting of groceries, durable and household goods, clothing, and building materials. A fifth category—automobiles—is also used, with prices sourced from Kelly Blue Book.

The average price difference for each of the five categories is then averaged together to establish an overall difference of less than one percent that the report describes as “virtually nil.”

The flaws in this approach are numerous and glaring. These include:

Cherry-picking: Deciding which items to compare on price can yield dramatically different results. For example, when one searches for “ice cream” at one of Walmart ‘s Honolulu stores, the first three results cost more than a Walmart in Los Angeles to the tune of 19 percent, 13 percent, and 79 percent. Yet the lone ice cream example used in the AMP study from Walmart shows a price difference of 0 percent. So why was this item chosen and not the others? The report does not say.

Use of online pricing: Although the AMP report’s approach of comparing prices online is certainly easier than canvassing the actual stores, it is less accurate. For example, the report found that an 18oz box of Cheerios cost $3.64 in both Los Angeles and Hawaii. But when the Grassroot Institute paid a visit to a Walmart in Honolulu they found the price to be $4.26—an amount 17 percent higher. Similarly, Wesson canola oil was found by the report to be identically priced in Los Angeles and Hawaii at $6.98. But while in-store visits found the online price to be accurate for Los Angeles, in Honolulu it was actually $9.64—38 percent higher.

Statistical sleight-of-hand: Despite the lack of insight into how items were selected and the flawed use of online prices, the report still finds that grocery items in Honolulu cost 2.4 percent more than in Los Angeles. However, the report also found minimal cost differences across the four other categories. After averaging these five categories together the report finds a total cost difference of a mere 0.51 percent.

This approach makes little sense. Why should each category be equally weighted when Hawaii residents spend far more on some types of items than others? According to the Bureau of Labor Statistics, 18.1 percent of expenditures by Honolulu consumers in 2017-18 was on food compared to a mere 2.7 percent on apparel and services. So why are grocery and clothing (or any other category for that matter) averaged together on an equal basis when one is far more consequential for consumers than the other?

Failure to isolate the dependent variable: Comparing items in Los Angeles and Hawaii is an interesting exercise, but it tells us little about the impact of Jones Act shipping on retail prices as a plethora of other factors figure here too. As the AMP study itself concedes, “there are many other factors that impact the price of goods in Hawaii beyond the Jones Act.” This is essentially an admission that price comparisons are a faulty means of gauging the Jones Act’s impact to consumers.

These are only some of the report’s more egregious flaws. In addition, it suffers from numerous other shortcomings that merit attention. Among them:

  • The report only examines prices at big-box retailers whose volume allows them to negotiate discounted rates with Jones Act shipping companies. There is little reason to think the impact of shipping on their prices should be seen as representative of other Hawaii retailers.
  • Citing a 2011 Maritime Administration (MARAD) report, the study states that, in the Jones Act’s absence, foreign ships engaged in domestic transport would have to comply with all U.S. work rules and manning requirements. This, in turn, would dramatically drive up their labor costs. In fact, the cited MARAD report makes no pronouncement about which U.S laws foreign ships may have to comply with if allowed to engage in domestic transport.
  • The study states that approximately 13,000 Hawaii residents are employed in the domestic maritime industry, with such jobs contributing to an overall economic impact of $3.3 billion to the Hawaii economy. The source for this claim is a study produced by a pro-Jones Act group that has never been made publicly available, and thus cannot be scrutinized.

The report’s most profound weakness, however, is a more subtle and less obvious one. Despite its title, “Impact of the U.S. Jones Act on Hawaii,” the report comes nowhere close to properly performing such an analysis.

A common misperception of the Jones Act is that its cost is the difference between freight rates offered by Jones Act ships and non-Jones Act ships. But this only scratches the surface. The actual cost of the Jones Act is the difference between what Hawaii (or the United States) looks like without the law compared to what it looks with it in place. It is in many ways a study in opportunity costs. This is something the AMP report entirely fails to wrestle with.

So what would Hawaii look like without the Jones Act? The following are some changes one might see:

  • Ranchers in the state could end their use of container ships (and even airplanes) to send cattle to the mainland, instead transporting them more efficiently with livestock carriers (a ship type not found in the Jones Act fleet) to boost their competitiveness. Other exporters in the state, such as the Kōloa Rum Company, could use capital freed up through reduced shipping expenses to expand their businesses.
  • Hawaii meets much of its energy needs from abroad rather than domestically to help avoid the high cost of Jones Act transport. But in the Jones Act’s absence, the door would be opened to purchasing a variety of energy sources from the U.S. mainland at even lower cost. Cheaper jet fuel, for example, would reduce the cost of visiting Hawaii and travel between its islands, providing a boon to tourism. Sourcing more crude oil from the U.S. mainland—instead of Pacific Rim producers including Russia, as well as from Africa and the Middle East—could also help lower the cost of locally refined products. Cheaper petroleum, relied upon for approximately 69 percent of Hawaii’s electricity generation, could help reduce electricity rates that are the country’s highest.
  • The United States is the world’s leading exporter of both sand and asphalt. Hawaii, however, purchases the former from Canada and the latter from China among other countries. In the case of asphalt, buying from the mainland is not even an option as the Jones Act fleet lacks dedicated asphalt/bitumen tankers to transport it. Access to cheaper U.S. sand and asphalt could lower the cost of construction and boost the quality of Hawaii’s infrastructure (the country’s second-worst according to one analysis).
  • An estimated 80 percent of Hawaii’s food imports come from the U.S. mainland, subjecting it to expensive Jones Act transportation. Removal of the Jones Act would lead to less expensive food, benefitting not only consumers but a restaurant industry that is responsible for 13 percent of state employment.

This is not a comprehensive list of the benefits that might be realized, but a mere sampling of the thinking one must engage in to properly understand the cost of the Jones Act. Unfortunately, such a line of inquiry is not found in the AMP report. And even its attempt to establish the Jones Act’s direct cost to consumers is fatally flawed due to numerous methodological errors. The report might provide new talking points for the Jones Act lobby, but it should not be regarded as a serious piece of economic analysis. For that, one must look elsewhere.

States with the most farmland

Greater Fort Wayne Business Weekly

Ken Levy Aug 23, 2020

Stacker explores states with the most and least farmland. The U.S. has roughly 2 million farm households, but which American regions have the most acreage devoted to farming? Stacker analyzed the U.S. Department of Agriculture’s Major Land Uses Survey, then ranked each state and the District of Columbia based on the number of acres each has dedicated to farmland.

#45. Hawaii

  • Total cropland: 372,000 acres
  • Cropland as a percent of all state land: 9.1% (#17 lowest among all states )
  • Cropland used for crops: 161,000 acres
  • Idle cropland: 189,000 acres
  • Cropland pasture: 22,000 acres
  • Market value of agricultural products sold: $563.8 million (#46 among all states)
  • Most valuable crops produced: coffee ($50.2 million), macadamias ($42.0 million), papayas ($5.7 million), taro ($2.0 million), avocados ($1.6 million)

READ THE COMPLETE ARTICLE

FARMERS MARKET COALITION: Webinar: Unique COVID Farmers Market Models / Thursday, September 3rd @ 6:30 am HST

FMC and Ecology Center have teamed up and are excited to present the webinar Thinking Inside the Box- Making Healthy Food Accessible with Curbside/Drive-Thru (Contactless) Models at Farmers’ Markets During COVID-19.

Join us on September 3 at 12:30 PM ET to learn from 4 passionate and innovative farmer market managers who have implemented drive-thru/curbside/box programs in their communities. They’ll be sharing their challenges, successes along with the logistics, safety, and administrative aspect of implementing a program like this.

Click here to read the full webinar description, presenter bios, and register!
Megan Fox
Executive Director
Mālama Kaua`i
(808) 828-0685 x12
www.malamakauai.org
Advocating, educating, and driving action towards a sustainable Kaua’i.