Agency
Department of Agriculture and Consumer Services
 
Board
Department of Agriculture and Consumer Services
 
Guidance Document Change: The Plants and Plant Products Inspection Law (Va. Code ยง 3.2-3800 et seq.) prohibits retail establishments from selling or offering for retail sale for outdoor use a plant that is an invasive plant species unless such retail establishment posts in a conspicuous manner on the property located in proximity to each invasive plant display signage identifying such plant as invasive, educating consumers regarding invasive plant species, and encouraging consumers to ask about alternatives. The Second Enactment of Chapters 393 and 409 of the 2025 Acts of Assembly requires the Commissioner of Agriculture and Consumer Services to designate the format, size, and content of the sign required by the Law. This Guidance Document designates the format, size, and content of the sign.
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9/17/26  2:07 pm
Commenter: Matthew Shreckhise

Comments on Invasive Plant Species Signage Requirements
 

As a Virginia nursery grower and wholesale supplier, I support efforts to protect Virginia's natural resources from plants that cause demonstrated ecological harm. However, I believe the implementation of these signage requirements should be based on sound science and should recognize meaningful differences among cultivars.

My primary concern is applying the same invasive designation and signage to cultivars that have been shown to be sterile or to have significantly reduced fertility compared with the species. If credible scientific evidence demonstrates that a particular cultivar does not present the same invasive risk, there should be a practical process for evaluating and exempting that cultivar rather than automatically treating all cultivars of a species the same.

I am also concerned about the practical effect these requirements will have throughout the nursery supply chain. Although the signage requirement applies at retail, Virginia growers and wholesalers have substantial investments in plant material that may take several years to produce. A required invasive label at the point of sale can significantly affect demand for that inventory. VDACS should consider these downstream economic impacts when implementing this guidance.

I encourage VDACS to work closely with Virginia growers, wholesalers, retailers, and researchers as this program is implemented and to provide a clear process for considering new scientific information regarding individual cultivars.

Thank you for the opportunity to comment.

CommentID: 241275