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EU NOVEL FOODS REGULATION Overview and Update

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Title: EU NOVEL FOODS REGULATION Overview and Update


1
EU NOVEL FOODS REGULATION Overview and Update
  • Neville Craddock MA (Cantab.), CSci, FIFST
  • Neville Craddock Associates
  • Food Law Consultants
  • United Kingdom

2
Presentation Overview
  • Background to concerns and questions raised
  • Focus on Exotic traditional foods and
    Traditional use
  • Balance customary knowledge and modern
    science
  • Proportionate evidence of safety is required
  • Production of valid scientific evidence
  • More cost-effective administrative and scientific
    assessment process
  • Feasibility of generic applications /
    authorisations
  • N.B. Personal views!

3
Current situation
  • Original review discussion paper in 2002
  • Numerous submissions on EC website
  • Evaluation Report January 2004
  • Currently considering a review of Regulation
    258/97
  • Recent consultation on impact assessment of
    various options
  • A proposed revision is expected early 2007 (?)

4
Regulation 258/97 - Scope
  • not used to a significant degree within EC
    (before 15th May 1997) and which fall under
  • a new or intentionally modified primary
    molecular structure
  • consisting of or isolated from micro-organisms,
    fungi or algae
  • consisting of, or isolated from, plants and
    ingredients isolated from animals, except for
    foods obtained by traditional propagating or
    breeding practices and having a history of safe
    food use
  • to which has been applied a (novel) production
    process (which) gives rise to significant
    changes in composition or structure which affect
    nutritional value, metabolism or level of
    undesirable substances
  • Recommendation 97 / 618 describes scientific
    aspects for assessments

5
  • Does EU need a Novel Foods Regulation?

6
Stronger EU Legislation post-1997
  • EU food safety legislation significantly revised
    and strengthened
  • Comprehensive food safety, import and marketing
    controls
  • Defined, legal responsibilities to deliver safety
    throughout chain
  • General Food Law 178/2002
  • Business operator responsibilities for safety and
    legality
  • Control authorities enforce legislation
  • General Food Hygiene Regulation 852/2004
  • All imports must meet EU or equivalent hygiene
    standards
  • In practice, many EU practices will need to be
    applied
  • Official Controls 882/2004
  • guarantees from 3rd country authorities

7
Stronger EU Legislation post-1997 (2)
  • Labelling Directive 2000/13
  • specific provisions on name of foods
  • medicinal claims illegal
  • new health claims rules imminent
  • Food Fortification (Addition of Nutrients)
    proposal imminent
  • will categorise herbal extracts as safe /
    restricted / banned
  • Traditional Herbal Remedies Directive 2004/24
  • Food Supplements Directive 2002/46
  • Residues, contaminants etc
  • heavy metals, mycotoxins - specific and general
  • concept of safe food and responsibilities under
    178/2002
  • Plant health protection measures IPPC et al

8
Global Agreements - Trade and Safety Matters
  • However food safety is one of EU highest
    priorities but control must be applied within
    global commitments to trade, development and aid
  • Treaty requires policy and implementation to
    foster sustainable economic and social
    development of DCs (particularly the most
    disadvantaged) and their smooth and gradual
    integration into the world economy
  • WTO requires justification where consumer
    protection laws conflict with level of safety
    acceptable in the country of origin, or exceed
    those established in international standards
  • Does not appear to be case with NFR
  • Applicant must prove his product meets the
    (higher) EU perceptions of safety whereas,
    arguably, balance of proof should be reversed,
    and EU required to prove that products concerned
    will be unsafe for consumption

9
  • Does EU need a Novel Foods Regulation?
  • Despite the above comments, probably yes
  • if only to avoid disparate National measures
    being re-introduced, but needs to be more flexible

10
  • Tradition and Customary Knowledge

11
Concept of Tradition
  • Tradition
  • anything communicated from ancestors to
    descendants, generally by word only
  • things pertaining to time-honoured orthodox
    doctrines
  • long observed historic customs or usage
  • handed down practices that are valued by a
    particular culture
  • The tradition should have existed for a
    considerable period
  • raw materials, derived foods and processes used
    should have been available, substantially
    unchanged, for several generations within culture
    concerned

12
Concept of Tradition
  • Traditional Use
  • Time-related
  • UK FAC 2 generations / 50 years
  • Canada 3 generations / 100 years
  • Traditional applications
  • Conventional food uses versus extracts, powders
    and potions
  • Exotic traditional food crops
  • Collaboration between specialists essential EU
    / DCs / global
  • Nordic proposal NETTOX project etc global /
    regional groupings

13
Concept of Customary Knowledge
  • Customary knowledge reflects
  • acquaintance / familiarity with facts or range of
    less-defined information relating to habitual or
    commonly used practices (i.e. local customs)
  • a broad concept that embraces both theoretical
    and /or practical understanding of an art or
    science
  • includes references to a long history of food
    practices and use by indigenous populations
  • includes the traditional precautions that are
    integral to safety
  • In practice, individual product decisions would
    still need to be determined on case-by-case basis
    on evidence submitted in support of an application

14
  • What evidence is needed to define a Traditional
    Food?
  • What criteria should be met?

15
Evaluation Criteria for Traditional Foods (1)
  • Acceptable, validated, verifiable evidence that
    food and plant or animal from which it is derived
    to show
  • extended history of growth / production inĀ 3rd
    country / geographic region (if not grown, reared
    or produced in significant quantities in EU)
  • history of consumption extending over significant
    period amongst the native population of that 3rd
    country or region (if no history of significant
    consumption in EU)
  • belongs to a normal diet and its history of use
    reflects consumption in a form generally-recognise
    d as a normal food or food ingredient

16
Evaluation Criteria for Traditional Foods (2)
  • obtained by conventional processes (e.g. water
    extraction, drying, fermentation, cooking,
    salting etc)
  • comprise or is produced from plants, or parts of
    plants, that occur naturally or are derived from
    traditional propagation and
  • obtained by harvesting from the wild state or
  • agricultural cultivation that is traditional in
    the 3rd country or region
  • comprise or is derived from animal species
    indigenous to, and occur naturally in the 3rd
    country or region (farmed or wild-caught)
  • Food source and specific derivatives must NOT be
    on relevant proscribed lists of controlled
    narcotic substances, e.g. the various
    International Conventions on Narcotic Substances

17
Evidence of History and Tradition (1)
  • Full description of the plant / animal from which
    food has been derived
  • a taxonomic and/or legal description, in
    accordance with recognised international
    practices (e.g. kingdom, division or phylum,
    class, order, family, genus, species, subspecies,
    common name, etc)
  • Geographical origin and distribution of the food
    and food source(s)
  • evidence of being indigenous to the 3rd country
    or region
  • Cultural history of the wild plant / cultivated
    crop / animal / fish / bird
  • general cultural aspects of the local tradition
    and relevant folk-lore

18
Evidence of History and Tradition (2)
  • food use history and traditions
  • evidence of frequent, ongoing consumption over
    several generations
  • handling from harvesting through storage to
    preparation
  • consumption frequency and quantity patterns
  • a particular focus on treatments and techniques
    necessary to ensure the safe consumption of the
    product
  • scientific justification of safety of traditional
    preparation methods
  • any adverse effects recorded in country of origin
    or elsewhere
  • commercial status of derivative and its
    production in country of origin

19
Details of Proposed Product (1)
  • Description of product
  • derivation from source material (e.g. whole,
    natural parts or extracts)
  • method(s) by which it has been harvested, reared,
    produced, prepared, preserved, packaged and
    stored
  • details of any major changes incurred during
    processing
  • Statement of intended uses
  • Anticipated EU consumption patterns
  • sales volumes
  • proposed geographical markets
  • any special target consumer groups (children,
    elderly, immigrant etc)
  • anticipated per capita (frequency, quantity -
    typical and ranges)

20
Details of Proposed Product (2)
  • Possible displacement of existing foods and any
    nutritional impact
  • Name under which the food will be sold other
    essential label advice
  • indication of proposed consumer information (if
    necessary for safety)
  • storage and preparation precautions during /
    prior to consumption
  • groups for whom product may be unsuitable or
    restrictions prudent
  • Availability in non-EU countries
  • details of any authorisations granted by a non-EU
    country
  • any conditions applicable to such approvals
  • any decision to refuse approval, and the reasons
  • countries where the product is currently
    marketed, where no formal approval process is
    applicable

21
Quality of Evidence Required (1)
  • Must in all cases relate to final product and, as
    far as reasonably practical, each individual
    ingredient
  • Sufficient to show that safety is plausible on
    basis of long-standing use and experience
  • Reliable evidence from ethno-botanical and
    anthropological literature, from anecdotes /
    folklore, and scientific / non-scientific
    publications
  • Affidavits or affirmations from independent,
    reputable authorities on history and use of the
    food and how they know information is valid
  • Non-scientific data from national / regional
    centres of excellence, validated by national
    authority responsible for food export control

22
Quality of Evidence Required (2)
  • If available, or readily feasible
  • evidence from recognised control laboratories
    that product, prepared in accordance with
    recommended, traditional methods, meets EU
    legislation or other International quality
    standards (Codex etc)
  • a bibliographic review of safety data, plus an
    expert report and, if requested, data necessary
    for assessing the safety of the product
  • evidence appropriate to the nature and
    anticipated (extreme range) consumption that it
    does not inherently contain significant levels of
    potentially harmful substances (e.g. proximate
    data, amino acid and fatty acid profiles, mineral
    / trace mineral and vitamins, and any
    anti-nutrients / bioactive phyto-chemicals of
    particular interest)
  • Additional toxicity, allergenicity or human /
    animal clinical studies should only be required
    where reasonable doubts as to food safety justify
    them

23
Quality of Evidence Required (3)
  • Supporting dossiers must be presented
    professionally, in a standard format, if they are
    to receive timely attention.
  • EU Guidance for the generation and presentation
    of data for the notification procedure should
    therefore be developed (c.f. NL and UK)
  • Where it is not immediately possible for 3rd
    country to meet EU scientific or administrative
    requirements, technical and / or financial
    assistance should be provided (c.f. Regulation
    882/2004, or via other DGs)

24
  • Generic approvals
  • Are they feasible?

25
Generic Applications and Approvals (1)
  • Should traditional food approvals be for single
    applicant or generic?
  • different products derived from one plant or
    related group
  • single application / multiple suppliers /
    locations
  • indigenous crop and / or natural parts (wild /
    cultivated)
  • but what about specialist breeding programmes?
  • intellectual property rights?
  • ethics and Fair Trade considerations?
  • applications from National governments /
    institutions
  • available for all operators
  • legal representation in Community?

26
Generic Applications and Approvals (2)
  • Generic national / regional approvals could be
    facilitated by Official Control Regulation
    882/2004
  • guarantees acceptable any business able to
    export any plant-based food products (providing
    the individual food is legal in EU)
  • guarantees not provided / accepted cannot
    export (would need to work closely with
    authorities to upgrade national control systems)
  • N.B. individual business no longer able to
    establish private schemes for direct exports to
    EU, unless the 3rd country itself meets the EU
    criteria

27
Generic Applications and Approvals (3)
  • Non-innovative traditional foods (products of
    biodiversity) differ fundamentally from other
    categories of innovative novel products
  • Natural, long-time existence, and in public
    domain at origin
  • Strong arguments from 3rd countries to treat them
    as separate entity
  • exclude from scope of revised NFR, or
  • develop own, distinct legislation
  • Fear that NFR could generate effective monopoly
    to a single company for showing indigenous,
    natural food to be edible
  • conflict with the spirit of international
    intellectual property rules
  • appropriation of indigenous knowledge in disguise
  • Strong views that Exotic Traditional Foods
    should remain in the public domain, and no
    private entity should gain privileged access to
    EU market

28
Economic and Technical Feasibility for 3rd
Countries
  • Revised NFR must strike a balance
  • must not, and must be seen not to, compromise
    genuine food safety and EU consumer perceptions
    of it (DG SANCO role)
  • must respect EUs obligations towards 3rd
    countries (EC role)
  • due consideration for existing or planned
    international standards (EC)
  • science on which controls are based must
    withstand peer review and challenge (EFSA role).
  • DGs for Trade, Development and External Relations
  • significant political / economic role to ensure
    3rd countries are not disproportionately affected
    by its actions
  • must be fully integrated into the approval
    process for traditional 3rd country foods
  • Must not prejudice EFSA independence

29
Economic and Technical Feasibility for 3rd
Countries
  • Cost of full technical dossier can be prohibitive
    for 3rd country operators
  • Administrative demands must be minimum
    commensurate with meeting necessary scientific
    rigour
  • NFR must be drafted to require proportionate
    approach to risk
  • DG Sanco should ensure this by formulating
    appropriate briefs to EFSA
  • Commission i.e. all relevant DGs - must ensure
    widest range of scientific, economic and all
    other information is taken into account when
    developing the risk management policies
  • Revised NFR and DG Sanco, when applying it, must
    provide technical assistance to mitigate
    practical and financial impacts on DCs

30
  • Possible mechanisms?
  • EC has suggested a single, centralised risk
    assessment and authorisation procedure is this
    appropriate?

31
Customary Knowledge meets Modern Science
  • Precautionary approach in EU
  • understandable given past history of safety
    issues and concerns
  • nevertheless, can be disproportionate for 3rd
    country foods
  • Recommendation 97/618 is too strictly applied (GM
    focused)
  • ignores customary knowledge and likely EU
    consumption
  • is used to seek absolute safety (never
    possible!)
  • Proportionality EU can learn from Australia /
    New Zealand Canada
  • Possible way forward
  • need new Guidelines on Risk Assessment of non-GM
    novel foods
  • must deliver proportionate and focussed approach
  • consider extending QPS concept to plant-based
    foods

32
Can Modern Science meet Customary Knowledge?
  • Initial evaluation by EC, assisted by MS
    experts (not scientific risk)
  • global history and customary knowledge of the
    food
  • traditional preparation methods and consumption
    patterns
  • Balance uncertainty against realistic estimate of
    likely EU consumption
  • estimate chance / level of any potential risk
  • identify type / depth of additional evidence (if
    any) needed to
  • establish acceptable level of risk or
  • justify any restrictions on product availability
  • Focus on intrinsic properties, not contaminants
    due to inadequate hygienic handling and storage
    (control is legally essential part of food trade)

33
Initial Evaluation Outcomes
  • Balance anticipated potential risks against
    envisaged consumption
  • Initial evaluation will lead to 3 scenarios
  • SAFE wholesome, toxicologically and
    nutritionally acceptable (taking into account
    specific precautions and likely consumption)
  • GENERALLY SAFE except for one or more identified
    aspects requires further assessment of these
    specific areas (case by case)
  • NO EXPERIENCE more extensive safety assessment
  • Refer only genuine aspects of scientific
    uncertainty for EFSA assessment

34
EFSA Assessment Outcomes if referred
  • EFSA provides formal Scientific Opinion for MS
    SCFCAH to consider
  • Authorisation procedure will lead to 3 scenarios
  • SAFE may be placed freely on the EU market
  • subject to general food legislation and
    safeguard procedures
  • ACCEPTABLE SAFETY LEVEL (reasonable certainty
    of no harm)
  • one or more risk parameters identified, can be
    managed by appropriate case by case risk
    management mechanisms
  • specified labelling based on perceived risk
  • post-market monitoring based on perceived risk
  • REJECTED not permitted on EU market

35
  • Conclusions

36
Key Conclusions (1)
  • Excessive and prohibitively strict criteria being
    used to assess safety, disproportionate to
    potential risks
  • Scientific proof demanded should be commensurate
    with perceived risk and take account of likely EU
    consumption patterns
  • Insufficient consideration is given to global
    history of use or comparison with other foods
    with known, safely-managed risks
  • Must consider globally-available, relevant
    evidence and assessments
  • The principles in the Official Controls
    Regulation could be extended to cover
    non-scientific assurances from 3rd countries
  • Foods with history of safe consumption, wherever
    this may be, should be subject to notification
    procedure and only referred for fuller, focussed
    scientific assessment if specific, valid safety
    doubts are raised

37
Key Conclusions (2)
  • QPS approach to plant foods should be explored
    further
  • Need clear definitions and consistent application
    of all concepts
  • clarified by new EU implementation guidelines
  • Separate category for 3rd country traditional
    foods would enable introduction of proportionate
    pre-market evaluation procedure
  • Additional labelling only in exceptional
    circumstances, if essential to provide specific
    information for clearly identified consumer
    groups.
  • Post-market monitoring limited only to cases
    where risk assessment determined that low level
    of consumption was safe but higher levels might
    be a potential cause for concern in defined
    sectors.

38
Key Conclusions (3)
  • The practical implementation of the Regulation
    runs counter to WTO rules and appears to risk
    creating a non-tariff trade barrier against
    traditional, 3rd country products, and impeding
    the economic development of sectors and countries
    concerned
  • The impact of a revised NFR should be mitigated
    by providing financial or other technical aid to
    potential exporting countries
  • All evaluations should be performed at Community
    level.
  • All decisions should be placed on a public
    register
  • Potential for National / regional generic
    approvals should be considered

39
LADIES and GENTLEMEN Thank you for your
attention!Comments Questions Discussion
40
Neville Craddock AssociatesTun House 28 High
Street BletchingleySurrey UKnevillecraddock_at_tu
nhouse28.fsnet.co.ukTel 44 (0) 1883 740
553Mob 44 (0) 7802 641 081
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