This posting is a little off the track of my "normal" work; however, it might be of interest to some readers! As a member of the Colorado Springs Mineralogical Society, I also am a member of the Rocky Mountain Federation of Mineralogical Societies (see www.rmfms.org). The Federation has a number of Committees (see website) and I chair the International Relations Committee---not because I have a great deal of knowledge about such matters but because I volunteered to help the Federation. In fact, the recent posting on BLM fossil collecting rules was written for another Committee I chair, the Public Lands Access Committee. The following is my report for the annual Federation meeting---March, Albuquerque.
RMFMS
INTERNATIONAL RELATIONS COMMITTEE
Mike
Nelson
csrockguy@yahoo.com www.csmsgeologypost.blogspot.com
I have found that being Chair of the RMFMS
International Relations Committee is not an onerous job and actually produces
some interesting questions. Some are easily
answered, while others require some serious thought before an answer. Most questions coming from international
rockhounds fall in the area of “I am visiting
INSERT STATE where can I collect minerals or fossils?” I make an attempt to answer these inquiries for
states of which I am somewhat familiar—most of the Great Plains, a few in the
Midwest and Rocky Mountains. My first
line of defense is to suggest state rockhounding and geology “travel” books, the
second is to recommend websites of the various state geological surveys. My third
line is to suggest joining a local rock and mineral club in order to
participate in their fields trips and will point rockhounds to appropriate
clubs. Then I attempt to explain about collecting on federal and state land as
well as trespassing on private land.
Collecting minerals would seem an easy talk; however, try explaining claims
and markers—and my warning about: do not even venture to Mt. Antero looking for
aquamarines. First, because of the high
altitude (13,000 feet) a rockhound could die, but second, virtually the entire
mountain is claimed.
Explaining about collecting fossils used to be an easy
task---stay away from vertebrate fossils, fill up any collecting holes in
searching for invertebrate fossils, and keep under the pound limit for
petrified word. However, the new
collecting rules on USFS and BLM lands confuses even professional paleontologists.
I have received three inquiries from international rockhounds
with questions like “I purchased this specimen (photo enclosed) at a mineral
fair but the only listed locality is INSERT STATE. Can you help me find the locality?” A photo of calcite sand crystals was fairly
easy to pinpoint as Rattlesnake Butte in South Dakota (some want latitude and longitude). I gave an educated guess for azurite
blueberries as coming from the Blue Crystal Mine in the La Sal Mountains in
Utah. A specimen with garnets probably
came from New England but where?
I also receive requests to send or trade
minerals. One person wanted me to send
over samples of sand, including a sample containing azurite crystals. I have not provided any sample or minerals
for international shipments since some countries have laws prohibiting the
import of rockhounding “stuff.”
A couple of gentlemen from the U.S. wanted information
about bringing precious stones back from their upcoming vacation visit to
southeast Asia. What do I know about
that—very little. First, I suggested
contacting a reputable dealer and not purchasing any nice-looking stones (like
rubies) from a street seller. Second, I told
them to search information established by U.S. Customs and Border Protection. For satisfying my own curiosity I found the
following information:
Personal
imports of these items are usually cleared informally and do not require a
Customs bond. However, if you purchased them while you were abroad, ensure you
declare them when clearing Customs and Border Protection (CBP) on the CBP Form
6059B. Imports of diamonds, pearls, rubies, sapphires and emeralds from
countries with normal trade relation status are duty-free as long as they are
not permanently strung, set or mounted. Additional duty rates for these items can
be found in the Harmonized
Tariff Schedule (HTS) in chapter 71.
When
these items are set, or mounted with some sort of metal, they are classified as
jewelry and subject to duty. These rates can also be found in chapter 71. Diamonds
also require a Kimberley Certificate, more information can be found on the
State Department brochure and
website.
Please be aware that there are sanctions against
diamonds imported from Sierra Leone, Angola, Liberia and other countries. Visit the Kimberley
Process website for the most recent list of countries. See
the Kimberley
Process Certificate Scheme. Additional information on sanctions
against diamonds from these countries can be found Office of Foreign Assets
Control's Web site. Additional information can also be obtained from
the World Diamond Council.
Finally, a person wanted to know about buying ivory
for his scrimshaw work and “coral” for jewelry.
He/she also wanted to know about using “fossil ivory” (Mammoth and Mastodons
and relatives).
There has been a ban on ivory (elephant) importation
since the late 1980s. The U.S. Fish and
Wildlife Service also notes the following are prohibited---see: https://www.fws.gov/le/travelers.html);
- All products made from sea turtles
- All ivory, both Asian and African elephant
- Rhinoceros horn and horn products
- Furs from spotted cats
- Furs and ivory from marine mammals
- Feathers and feather products from wild birds
- Most crocodile and caiman leather
- Most coral, whether in chunks or in jewelry
In other words, Fish and Wildlife states: The United States
generally prohibits the importation of ivory. Don’t bring home raw ivory or
ivory jewelry, carvings, or figurines made from the tusks of either African or
Asian elephants. Avoid raw or carved ivory from the teeth or tusks of walruses,
whales, narwhals, and seals.
A couple of decades ago I
presented a paper on muskoxen at a University in Saskatoon. While waiting in the airport I wandered
through the gift shop and noted these “cute” little furry seal skin dolls. I almost purchased one as they were popular
among travelers. A stroke of genius: the
cute little dolls were confiscated by U.S. federal agents after entering the
country (see list above).
There are also a host of
regulations and questions revolving around selling and trading “antique” ivory
chess sets, figurines, pianos, etc. that are personal items found in the
home. Answering questions about this
sort of trade is beyond my pay grade so contact federal authorities. With that noted, before you hide grandpa’s watch
fob, realize that: federal wildlife laws
and regulations such as CITES, the ESA, and the AfECA do not prohibit
possessing or display of ivory, provided it was lawfully acquired. There is no
certification requirement or process to register ivory items and you do not
need a permit from the Service to possess or display ivory for noncommercial
purposes. We (U.S. Fish and Wildlife Service) recommend that you maintain any records or documentation you have that
demonstrates the origin and chain of ownership of the item. We recommend that
you provide all documentation to any future recipient of your elephant ivory
item. Check to make sure that you are also in compliance with local and state
laws. Contact the state to check on their requirements.
But what about using Mammoth
or Mastodon ivory? I do note that “fossil
ivory” is common at most rock and mineral shows; therefore, the trade must be
legal. Maybe, but then again, some
states are starting to prohibit the sale/purchase of ivory from Mammoths
(usually) or Mastodons. According to the
American Association of Paleontological Suppliers (AAPS), California, New
Jersey, Hawaii, and New York have new laws banning the sale of “fossil ivory.” For example, the Hawaii law states: (d) Except as authorized under section
183D-6, no person shall sell, offer to sell, purchase, trade, or barter for any
part or product from mammoth (Mammuthus), although the species is extinct.
AAPS also notes (www.aaps-journal.org) that several other
states are examining/constructing laws concerning the sale of “fossil ivory”
----
1. New Arizona; House Bill HB 2176 (Includes Mammoth Ivory and teeth),
Introduced January 25, 2016, Died in Committee
2. Arkansas; Senate Bill 928 (Killed in Committee)
3. California; Assembly Bill No. 96 (Includes Mammoth Ivory), Passed the State Senate September 2, 2015, Passed the State Assembly September 4, 2015, Sent to the Governor for his signature. This act shall become operative on July 1, 2016
4. Connecticut; Proposed Bill No. 5700 (Vague definition of Ivory), Tabled for the Calendar, House May 5, 2015.
5. Florida; Senate Bill 1120 (Includes Mammoth Ivory), Died in Environmental Preservation and Conservation Location: In committee/council (EP), May 1, 2015.
6. Hawaii; Senate Bill 674 (Includes Mammoth Ivory), Currently in Committee, scheduled to become Effective 01/01/16. 7. Illinois; Senate Bill 1858 (Includes Mammoth Ivory), Currently in Committee, May 15, 2015.
8. Iowa; SF 30 (Includes Mammoth Ivory) In Sub-committee February 11, 2015.
9. Maryland; House Bill 713 (Vague definition of Ivory), Unfavorable Report by Judiciary, remains in Committee, March 16, 2015.
2. Arkansas; Senate Bill 928 (Killed in Committee)
3. California; Assembly Bill No. 96 (Includes Mammoth Ivory), Passed the State Senate September 2, 2015, Passed the State Assembly September 4, 2015, Sent to the Governor for his signature. This act shall become operative on July 1, 2016
4. Connecticut; Proposed Bill No. 5700 (Vague definition of Ivory), Tabled for the Calendar, House May 5, 2015.
5. Florida; Senate Bill 1120 (Includes Mammoth Ivory), Died in Environmental Preservation and Conservation Location: In committee/council (EP), May 1, 2015.
6. Hawaii; Senate Bill 674 (Includes Mammoth Ivory), Currently in Committee, scheduled to become Effective 01/01/16. 7. Illinois; Senate Bill 1858 (Includes Mammoth Ivory), Currently in Committee, May 15, 2015.
8. Iowa; SF 30 (Includes Mammoth Ivory) In Sub-committee February 11, 2015.
9. Maryland; House Bill 713 (Vague definition of Ivory), Unfavorable Report by Judiciary, remains in Committee, March 16, 2015.
10. Massachusetts; House
1275 (Includes Mammoth Ivory)
Remains in Committee January 20, 2015.
11. Nevada; Senate Bill 398 (Includes Mammoth Ivory) Remains in Committee, Pursuant to Joint Standing Rule No. 14.3.1, no further action allowed April 11, 2015.
12. Oklahoma; HB1787 (Vague definition of Ivory), Second Reading referred to Wildlife Committee February 3, 2015.
13. Rhode Island; House 5660 (Includes Mammoth Ivory) Committee recommended measure be held for further study, April 15, 2015.
14. Vermont; House 297 (Includes Mammoth Ivory), In Committee February 24, 2015; in Conference Committee 2016.
11. Nevada; Senate Bill 398 (Includes Mammoth Ivory) Remains in Committee, Pursuant to Joint Standing Rule No. 14.3.1, no further action allowed April 11, 2015.
12. Oklahoma; HB1787 (Vague definition of Ivory), Second Reading referred to Wildlife Committee February 3, 2015.
13. Rhode Island; House 5660 (Includes Mammoth Ivory) Committee recommended measure be held for further study, April 15, 2015.
14. Vermont; House 297 (Includes Mammoth Ivory), In Committee February 24, 2015; in Conference Committee 2016.
15. Washington; House
Bill 1131 (Includes Mammoth Ivory)
By resolution, reintroduced and retained in present status. June 28,2015.
16. Oregon; Senate Bill 913 (Includes Mammoth Ivory). Currently in Committee.
16. Oregon; Senate Bill 913 (Includes Mammoth Ivory). Currently in Committee.
17. Delaware; Senate Bill
156 (Includes Mammoth Ivory)
Senate Banking and Business Committee June 24, 2015.
18. Michigan; Senate Bill 371 (Includes Mammoth Ivory); in Committee.
19. Virginia; Senate Bill 1215 (Killed in Committee).
18. Michigan; Senate Bill 371 (Includes Mammoth Ivory); in Committee.
19. Virginia; Senate Bill 1215 (Killed in Committee).
If I thought regulations
concerning ivory were difficult to understand, I certainly was not prepared for
“corals.” The only thing I know about
bringing dried pieces of coral into the U.S. came from an experience several
years ago, (~10) when Fish and Wildlife (or some federal agency) removed small
pieces of dried coral from my backpack as I was returning from a visit to the Caribbean. “They” left behind a card stating that such
items were not permitted into the U.S.
What I have now found from Fish and Wildlife is: Coral
species may be protected under international, domestic or even state
environmental laws. Black corals (Antipatharia) were listed in Appendix
II of the Convention on International Trade in Endangered Species of Wild Fauna
and Flora in 1981. In 1985, amidst concerns about the effects of
commercial trade on fragile coral ecosystems, the CITES Parties listed all
stony corals, blue corals (Helioporidae), organ pipe corals (Tubiporidae), and
fire corals (Milleporidae)… Lace corals (Stylasteridae) were later added…
and China has listed 4 species of red coral…
Some
coral species are listed under the Endangered Species Act. Visit the U.S. Fish
& Wildlife Service's (Service) Endangered Species Program page to learn
more about these listings.
Each
U.S. state may have separate regulations that control the harvest of coral
within its waters. In addition, there are different regulations when handling
wild-harvested or captive-bred coral. It is strongly recommended that you
contact your state wildlife agency and the Service's Branch of Permits before
importing or exporting coral.
What that all means is
that I don’t have the slightest idea if you can bring coral into the U.S. for
making jewelry! Contact Fish and
Wildlife.
As a bit of small trivia, do not try and bring the
liquor Absinthe (anything containing Artemisia
absinthium) into the U.S. The only
thing I know about the liquor is that cool guys and ladies drink the bitters in
New Orleans.
The U.S. Customs and Border Protection (CBP) enforces federal regulations on absinthe brought into the country. So, recognize their rules and realize your bottle may be seized if:
- The absinthe is not "thujone-free." Thujone is a chemical compound found in wormwood that acts on certain receptors in the brain. I suppose the thujone-free stipulation is similar to some medicinal marijuana that has a very low content of tetrahydrocannabinol (THC), the psychoactive part of cannabis. But that is only a guess.
- The bottle has "absinthe" as the brand name
- The bottle has "artwork and/or graphics" that depicts "images of hallucinogenic, psychotropic or mind-altering effects."
Remembering my days as a
Ranger leading field trips in the Uinta Basin, I note Artemisia species include A.
vulgaris
(common mugwort), A.
tridentata (big sagebrush),
A. annua
(sagewort), A.
absinthium (wormwood), A. dracunculus (tarragon), and A.
abrotanum (southernwood). I
never tried to distill the abundant sagebrush!
Life-long learning needs to be fun and interesting!
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