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An update on the legislative requirements for allergen labelling in the EU, including may-contain and free-from labelling Devina Sankhla, Senior Regulatory Advisor 4 June 2013. EU Allergen Labelling Legislation. A mendments: Directive 2003/89/EC Directive 2006/142/EC Directive 2007/68/EC
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An update on the legislative requirements for allergen labelling in the EU, including may-contain and free-from labelling Devina Sankhla, Senior Regulatory Advisor 4 June 2013
EU Allergen Labelling Legislation Amendments: • Directive 2003/89/EC • Directive 2006/142/EC • Directive 2007/68/EC • Regulation (EU) No. 579/2012 • Regulation (EU) No. 1169/2011 14 allergenic ingredients Exemptions Wine exemption ended
14 Allergenic Ingredients Directives 2003/89/EC and 2006/142/EC Cereals containing gluten (specified) Crustaceans Eggs Fish Peanuts Soybeans Milk (including lactose) Nuts (specified) Celery Mustard Sesame seeds Sulphur dioxide and sulphites >10 mg/kg or 10 mg/l ... and products thereof • Lupin • Molluscs
almond, hazelnut, walnut, cashew, pecan, brazil, pistachio, macadamia, Queensland nuts NUTS Specific Allergens CEREALS CONTAINING GLUTEN Wheat, rye, barley, oats, spelt, kamut or their hybrids
Exemptions Directive 2005/26/EC (amended by Directive 2005/63/EC)provided temporary exemptions from allergen labelling requirements for certain derived ingredients originating from listed allergens. Expired on 26 November 2007. Directive 2007/68/ECprovides permanent exemptions from allergen labelling requirements for certain derived ingredients shown to no longer be allergenic.
Temporary Exemption Ended for Wine Regulation (EU) No. 579/2012 • Use of lysozyme and albumin from eggs, casein from milk, as fining agents in wine without allergen labelling was extended until 30 June 2012. Must now be labelled for new products place on market - Unusual in that wording prescribed ‘egg’, ‘egg protein’, ‘egg product’, ‘egg lysozyme’ or ‘egg albumin’ Also optional logos
Indication of Allergenic Ingredients The ingredients list of a foodstuff containing an allergenic ingredient or its derivative must be labelled accordingly to make clear reference to the allergenic ingredient present in the foodstuff.
Allergen Considerations The following would not normally require indicationin an ingredients list: • Processing aids • Solvents or media for additives or flavourings • Ingredients of defined ‘compound ingredients’ at <2% (e.g. spices – celery, mustard) • Ingredients within ‘generic name categories’ (e.g. ‘flour’) If they originate from allergenic ingredients and are present in the final product, even in altered form, the allergenic ingredients must always be declared.
Format Examples If allergenic ingredient not in the product name, must give ‘clear reference’ e.g. …, flavouring (contains milk), … …, colour: beta-carotene (contains soya), … …, whey powder (from milk) …, sesame-tahini …, semolina (wheat)
Format – Future Requirements in FICR FICR – Regulation (EU) No. 1169/2011 (Article 21) • Allergenic ingredient shall be emphasisedthrough a typeset that clearly distinguishes it from the rest of the list of ingredients, for example, by means of the font, style or background colourE.g. tofu as “tofu (soya)” • The labelling shall make it clear for each ingredient or processing aid concerned Ingredients: Cultured skimmed milk (58%), Buttermilk, Plant stanol ester (plant stanol 4%), Vegetable oil (5%), Butter, Cream powder....
“CONTAINS BARLEY” Format Examples – Alcoholic Drinks Alcoholic drinks above 1.2% abv: “contains …” Unless the allergenic ingredient is already in name of the drink or any list of ingredients
Repetition - Allergen Boxes/Statements? Allergen box?
‘May Contain’ Labelling • No specific provisions for advisory statements such as ‘may contain x’. • General food law under Regulation (EU) No. 178/2002 (as amended). “when determining if a food is injurious to health one must take into consideration health sensitivities, along side with any immediate or long-term effects” • Use of statements must be clear and in close proximity to the ingredients list.
EU-Vital/Vital? (European) Voluntary Incidental Trace Allergen Labelling [(EU)VITAL] • A risk management tool developed by the food industry to better manage incidental presence of trace amounts of allergens. • Three/two level action grid to determine whether precautionary labelling statements are required.
Future - ‘May contain’ Labelling in FICR FICR – Regulation (EU) No. 1169/2011 (Article 36.3(a)) Information provided on a voluntarybasis must meet the following requirements: • it shall not mislead the consumer • it shall not be ambiguous or confusing for the consumer • it shall, where appropriate, be based on the relevant scientific data The European Commission must adopt implementing measures detailing the application of the requirements related to voluntary information on “may contain” labelling. Development of European guidance related to “may contain” labelling.
TRACE Peanut Study in UK • 3 year study aims to find out the amount of peanut required for an allergic reaction to occur in those with a peanut allergy. • Following publication of final results (summer 2016), the FSA aims to improve the clarity of ‘may-contain’ allergen labelling for peanut-allergic consumers in the UK.
‘Free From’ Labelling ‘X free’ claims not defined in general EU law with the exception of: • Lactose free in PARNUTS (infant formula) legislation - max 2.5mg/100kJ (10mg/100kcal). • Gluten free in PARNUTS legislation... • Member States national legislation/guidance…
Gluten Free Regulation (EC) No. 41/2009 - Maximum limits for foodstuffs specificallyformulated for gluten intolerant people (PARNUTs): ‘Very Low Gluten’ for foodstuffs of grain origin specifically processed to reduce gluten (& blends with substitutes) < 100 ppm ‘Gluten Free’ for foodstuffs of grain origin specifically processed to reduce gluten (& blends with substitutes) <20 ppm ‘Gluten Free’ for substitute products <20 ppm
Gluten Free (2) Maximum limit for ‘normal’ and other PARNUT foodstuffs – ‘Gluten Free’ for foodstuffs not exceeding 20 ppm [‘Very Low Gluten’ not permitted on these products] Applied from 1 Jan 2012
Lactose Free – Examples of Rules in EU Member States Denmark/Sweden/Finland/Czech Republic • Limit of detection 0.01% per 100 g/ml. • Low-lactose claim – 1g per 100g/ml. • In both cases the authorities must be informed. • Levels to be given. UK - Guidance • Limit of detection 0.03% per 100g/ml. • Levels recommended to be given.
Lactose Free – Rules in EU Member States (2) Germany - Guidance • ≤ 10 mg/100 g resp. ml ready to consume foodstuff • Low lactose claim - ≤ 1g/ 100 g resp. ml • Very low lactose claim - ≤ 100 mg/ 100 g resp. ml
Other ‘X Free’ Claims E.g. ‘Egg Free’, ‘Free from Soya’, ‘Made in a Nut Free Factory’ Shall be used in line with general food law. Sufficient sampling and regular review.
Allergens – Non-Prepacked Foods • Format may be decided at National level… • Germany - Allergens must be highlighted via a board close to the product. “Where foods are offered for sale to the final consumer or to mass caterers without pre-packaging, or where foods are packed on the sales premises at the consumer's request or prepacked for direct sale the provision of information on allergenic ingredients or processing aids is mandatory.”
Thank you for your time Devina Sankhla dsankhla@leatherheadfood.com