The Week Ahead
(June 5, 2023)

Spiderman Mirror Meme - Cannabis - Hemp

Arguably arbitrary thresholds and limits had come to predominate conversations around safety in cannabis products and how to distinguish hemp consumables in Washington state.

Here’s a look at cannabis-related policymaking events on the calendar in the week ahead.

Monday June 5th

WSLCB - Board Caucus

On Tuesday at 10am PT, the weekly Washington State Liquor and Cannabis Board (WSLCB) Board Caucus was scheduled to recur.

  • [ Event Details ]
  • Normally hosted weekly on Tuesdays, the WSLCB Board Caucus would be hosted on Monday this week.
  • As part of the preparation for rulemaking during the Wednesday June 7th Board Meeting, Policy and Rules staff would brief board members on what appeared to be a previously unmentioned petition received on April 19th to specify an action level for dichlorodiphenyldichloroethylene (DDE) in cannabis products.
    • During the May 2nd board caucus, Policy and Rules Manager Kathy Hoffman indicated a similar petition sent in “a couple weeks ago” requested the board consider specifying “default” pesticide action levels for compounds without levels already in rule of 0.1 parts per million on “the additional pesticides that the [Washington State Department of Agriculture] test for” as the Board specified “59 of those 243 in rule.” She anticipated this petition would be addressed by staff on June 7th, but it was not listed at publication time (audio - 1m, video - TVW).
  • The petition was filed by Todd Luther, an owner of Okanogan Gold, one of the five licensed businesses targeted by the WSLCB environmental pesticide actions whose license had been placed on administrative hold pending the outcomes of an investigation of DDE levels in their products. Luther suggested “Low DDE levels are not harmful” and asked regulators to “Increase the maximum allowed levels of DDE in all cannabis products to 0.5ppm, or to a more acceptable level.”
  • The memorandum compiled by WSLCB Policy and Rules staff provided a history of the specification of pesticide action levels for cannabis and cannabis products in Washington State, and included the following research interpretations of potential harmful effects of DDE in humans:
    • “The National Cancer Institute (NCI) DDE Bioassay suggests the liver is the primary target in mammals. Liver lesions were identified at a ‘Lowest-Observed-Adverse-Effect level’ of 0.25 mg/kg/day. DDE is most likely carcinogenic to humans based on liver tumor formation in rodent studies. Studies have also shown that DDE is an endocrine disruptor and competes with testicular hormones for the androgen receptor resulting in altered gene expression. The journal, Environmental Research, published an article which found that young people with high blood levels of DDEs were twice as likely to be diagnosed with celiac disease.”

Tuesday June 6th

At publication time, no cannabis-related policymaking events were scheduled.

Wednesday June 7th

WSLCB - Board Meeting

On Wednesday at 10am PT, the bi-weekly WSLCB Board Meeting was scheduled to recur.

Thursday June 8th

WA Hemp in Food Task Force - Meeting

On Thursday at 9am PT, the Washington State Hemp in Food Task Force (WA Hemp in Food Task Force) planned to convene.

  • [ Event Details ]
  • Task force members last convened on May 18th to search for a path forward to advise on regulation of hemp consumables after SB 5367 was signed into law and before funding for the task force expired on June 30th.
  • Several task force members also sit on the WSLCB Cannabinoid Science Work Group which convened on Thursday June 1st. WSLCB Director of Policy and External Affairs Justin Nordhorn provided a lengthy introduction on the subject of implementation of SB 5367 in which he claimed the legislation “doesn’t necessarily align” with the agency position on the presence of detectable amounts of THC in cannabis products outside of the 502 system. He asserted that no single regulatory agency could implement the legislative mandate by declaring a specific amount of THC as a limit, and indicated an alternative approach being considered was to establish a standard method for the detection of THC - likely via the WSDA Cannabis Labs Accreditation Standards Program (CLASP).
    • WSDA Cannabis Programs Manager Trecia Ehrlich had earlier indicated the CLASP team would not be able to assist on that process before the fall absent guidance and additional funding from the legislature or elsewhere.
  • Task force members had been conflicted about the idea of inviting WSLCB staff to participate in their subsequent meetings to venture a more collaborative approach with hemp stakeholders. At publication time, the invitation Cannabis Observer had access to did not include WSLCB staff.
    • The task force was also scheduled to meet on June 22nd.

Friday June 9th

At publication time, no cannabis-related policymaking events were scheduled.