By Mike Weland
The Food and Drug Administration calls the Food
Safety Modernization Act “the most sweeping
reform of our food safety laws in more than 70
years.”
Signed into law by President Barack Obama January 4, 2011, critics, particularly
small producers, say it’s another nail that
could all but seal the coffin on the small ag
producer in the
United States.
The FDA is currently in the process of
implementing these new regulations, which may
have slipped under the radars of many were it
not for a small but vocal outcry; the public
comment period, which had been set to end May
16, has been extended 180 days to September 15
allow more public comment.
If you’re an independent farmer, particularly a
small producer who cherishes the life, it would
be well worth your time to review the proposed
rule changes, because chances are some aspect is
going to affect how you farm and get your
product to the consumer.
“Two of my highest priorities as FDA
commissioner have been strengthening the
scientific foundation of FDA’s regulatory
decisions and ensuring the safety of an
increasingly complex and global food supply,”
commissioner Dr. Margaret Hamburg. “That’s why I
take such pride in FDA’s proposal of two rules
that set science-based standards for the
prevention of foodborne illnesses. One will
govern facilities that produce food, and the
other concerns the safety of produce.”
Two rules.
Can’t be all that difficult to fathom, can they?
Well, don’t forget that word, “sweeping.”
For the average small farmer, sweeping might be
an apt word. As in “under the rug.”
Even if you currently operate to the best and
highest standards, if you sell a product that
can be ingested or rubbed onto another person of
the human persuasion, these new rules, as
proposed, will impact your operation.
The first rule proposed, the Rule for Produce
Safety, affects, as the title implies, the
production of fruits and vegetables.
The rule is meant “to minimize the risk of
serious adverse health consequences or death
from consumption of contaminated produce” by
establishing “science-based minimum standards
for the safe growing, harvesting, packing, and
holding of produce, meaning fruits and
vegetables grown for human consumption,”
designed to “set forth procedures, processes,
and practices that minimize the risk of serious
adverse health consequences or death, including
those reasonably necessary to prevent the
introduction of known or reasonably foreseeable
biological hazards into or onto produce and to
provide reasonable assurances that the produce
is not adulterated on account of such hazards.”
“We expect that the proposed rule, if finalized
as proposed, would reduce foodborne illness
associated with the consumption of contaminated
produce,” the FDA says.
At well over 150 pages, a quick perusal is
impossible, but just a glance shows that, for
the small farm families already working sunup to
sun down, the administrative requirements, if
not tempered, are going to require either an
additional 12 hours in each day or the adoption
of several additional family members skilled in
the arts of paperwork, data entry, law,
accounting and documentation.
Rule two, equally lengthy, is “Preventive
Controls for Human Food: Current Good
Manufacturing Practice and Hazard Analysis and
Risk-Based Preventive Controls for Human Food,”
and it is even more broad in scope.
In its summary, the FDA writes, “The Food and
Drug Administration (FDA) is proposing to amend
its regulation for Current Good Manufacturing
Practice In Manufacturing, Packing, or Holding
Human Food (CGMPs) to modernize it and to add
requirements for domestic and foreign facilities
that are required to register under the Federal
Food, Drug, and Cosmetic Act (the FD&C Act) to
establish and implement hazard analysis and
risk-based preventive controls for human food.
FDA also is proposing to revise certain
definitions in FDA's current regulation for
Registration of Food Facilities to clarify the
scope of the exemption from registration
requirements provided by the FD&C Act for
“farms.” FDA is taking this action as part of
its announced initiative to revisit the CGMPs
since they were last revised in 1986 and to
implement new statutory provisions in the FD&C
Act. The proposed rule is intended to build a
food safety system for the future that makes
modern, science-, and risk-based preventive
controls the norm across all sectors of the food
system.”
“The proposed rule,” they continue, “would
implement the requirements of FSMA for covered
facilities to establish and implement a food
safety system that includes a hazard analysis
and risk-based preventive controls.”
Specifically, the proposed rule would establish
requirements for:
-
A written food safety plan;
-
Hazard analysis;
-
Preventive controls for hazards that are
reasonably likely to occur;
-
Monitoring;
-
Corrective actions;
-
Verification; and
-
Associated records.
“The application of the preventive controls
would be required only in cases where facilities
determine that hazards are reasonably likely to
occur,” they assure. “We do not expect that all
possible preventive measures and verification
procedures would be applied to all foods at all
facilities.”
The attorney you adopt may be able to understand
and advise in plain English what the rest of it
says. It’s so full of references, citations and
qualifications; it’s hard to tell where the hors
d’oeuvres end and the main course begins.
The National Sustainable Agriculture Coalition (NSAC),
Washington,
D.C., has been watching the legislation that
led to these proposed reforms since shortly
after the Food Safety Enhancement Act of 2009
was passed by the House by a vote of 283-142 on
July 9.
“Everyone has a role in ensuring safe food from
field to fork,” they wrote. “The Food Safety
Modernization Act (FSMA) is the first major
overhaul of our nation’s food safety practices
since 1938, and it includes new regulations of
practices on produce farms and in facilities
that process food for people to eat. It
represents some big changes to our food system –
and it is extremely important for the Food and
Drug Administration to get these regulations
right.”
Their biggest early concern was that these laws
put all farmers on an equal regulatory plane;
from the weekend gardener who is more a hobbyist
than a farmer to the corporate giants, who have
more clerks and accountants working in offices,
attorneys on retainer and lobbyists in
Washington
than they do peopleworking in the field.
And it’s not only the farmers who’ll be
affected, they say; this legislation will impact
every American who has developed an eating
habit.
“If you’re a consumer, these rules could, over
the long term, impact the kind of food you are
able to find and purchase in your community,”
they write. “The proposed rules may also
increase the costs of purchasing fresh fruits
and vegetables. Ultimately, we want to ensure a
safe and affordable food supply, strong on-farm
conservation of natural resources, and thriving
family farms and small value-added farm and food
businesses. That translates into fresh, healthy
food for communities across the country, from
the farmers’ market to the grocery store to the
school cafeteria! As a concerned consumer, you
absolutely have a say in these proposed rules
and should speak out!”
They say that over the course of development,
improvements have been made, but serious
concerns persist, four in particular:
-
Farm facilities which do value-added
processing or which co-mingle product with
neighboring farms will be subject to a
proposed new, extensive and expensive FDA
regulatory regime regardless of risk and
regardless of scale.
-
Proposed new requirements for crop
traceability beyond the farm gate and
related recordkeeping requirements will make
it difficult or impossible for farmers to
comply.
-
A produce standard provision threatens
wildlife and biodiversity.
-
Lack of training or technical assistance on
food safety appropriate for small and
mid-sized value added producers and small
scale processors and wholesalers exacerbates
the challenges these operations will face to
comply with new regulation.
Coming from folks who obviously don’t farm but
who look after farmers and growers, that’s
likely a fair assessment to the crowd in
Washington,
D.C., but they speak a different language in
such lofty environs.
They don’t go out of an early morning toting
feed, or brave all weather to tend to crops and
critters. Farmers might grumble on occasion, but
they slog through whatever nature throws their
way, get up at all hours as the need arises.
They only eat after all others are fed, call in
sick only if they’re broken or dying. If their
neighbors are farmers, they’re fortunate. Most
will drop all but the most needed work to help
see a neighbor through.
Farmers take pride in what they do, and suffer
to see a sick or struggling animal or a wilting
crop. They’ll
entertain kids with the wonder of having a hand
in helping things grow as their own best
memories came from that very thing; planting a
seed, seeing an egg hatch … watching things
grow.
The small farmer typically not only shares with
their family what they grow, but tend to share
the bounty with their neighbors as well. They
know better than any accountant what good, safe
and wholesome food is.
What they send to market is typically equal to
or better than what they put on their own table.
If it isn’t good, they’re going to be the first
to know and wonder why, and no piece of paper
properly filled out and submitted to the FDA
will change anything a small farmer lives with
or loves.
It may, under these new laws, make the small
farmer a criminal.
Learn
more
Food
Safety Modernization Act (FMSA)
Official FDA site
http://www.fda.gov/Food/GuidanceRegulation/FSMA/default.htm
Overview of proposed rules
http://www.fda.gov/Food/GuidanceRegulation/FSMA/ucm334120.htm
Preventive Controls for Human Food Proposed Rule
http://www.fda.gov/Food/GuidanceRegulation/FSMA/ucm334115.htm
Full text
http://www.regulations.gov/#!documentDetail;D=FDA-2011-N-0920-0001
Standards for Produce Safety Proposed Rule
http://www.fda.gov/Food/GuidanceRegulation/FSMA/ucm334114.htm
Full text
http://www.regulations.gov/#!documentDetail;D=FDA-2011-N-0921-0001
(Warning: During the writing of this article,
some FDA links have gone 404: Link not Found:
Search: Food Safety Modernization Act)
How to
Reply
Contact:
FSMA@fda.hhs.gov
Write:
Food and Drug Administration
5100 Paint Branch Pkwy
Wiley Building, HFS-009
Attn: FSMA Outreach
College Park,
MD
20740
FDA Home
http://www.fda.gov/default.htm
National
Sustainable Agriculture Coalition
Article: Dr. Hamburg’s
Senate Testimony,
April 19, 2013
http://sustainableagriculture.net/blog/senate-fda-fy-2014-hearing/?utm_source=roundup&utm_medium=email
Comment period extended
http://sustainableagriculture.net/blog/fsma-comment-period-extended/
The Food Safety Modernization Act: Learn More
and Act Today!
http://sustainableagriculture.net/fsma/
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