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The Impact of FSMA Rules on Sustainable Agriculture and Local Food Systems. Roland McReynolds, Esq. Carolina Farm Stewardship Association. About CFSA.
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The Impact of FSMA Rules on Sustainable Agriculture and Local Food Systems Roland McReynolds, Esq. Carolina Farm Stewardship Association
About CFSA • Member-based, farmer-driven non-profit with a mission to advocate, educate, and build the systems to support a sustainable food system in the Carolinas centered on local and organic agriculture • Heavily engaged in FSMA legislative process • Active in developing comments on FSMA proposed rules on behalf of sustainable ag • Provides food safety training tailored to diversified and organic farms
The Real Public Health Crisis • Annual Deaths from Diet-Related Diseases • Heart disease: 806,156 • Diabetes: 231,402 • Colon/rectal cancer: 54,433 • Use of Conventional Pesticides Increasing • As much as 93% of Americans have chlorpyrifo residues • Implicated in diabetes, ADHD, birth defects, cancers • Overuse of synthetic fertilizers, pesticides contaminating aquifers, fisheries, estuaries, etc.
Processing a Higher Risk • 99% of outbreaks in leafy greens between 1999 and 2007 were from bagged, ready-to-eat products • Cutting leafy greens post-harvest vastly multiplies pathogen growth risk • Shelf-life-extending packaging (clamshells) can promote pathogen growth • Comingling product from large number of farms makes entire product batch vulnerable to safety lapse
New FDA Powers • FDA can order a recall of food. • FDA can detain food if there is a “reason to believe” the food is not produced in accordance with safety regs • FDA has the power to suspend the operations of any food facility if there is a reasonable probability of causing serious adverse health consequences or • FDA can require safety certification for imported food to be certified • FDA must review health data every 2 years and issue guidance documents or regulations to address the most significant foodborne contaminants • FDA is required to establish a product tracing system
FSMA: One Statute, Many Regulations • Produce safety standards • Preventive controls in food processing ‘facilities’ • Preventive controls in manufacture of animal feed • Prevention of intentional contamination • Sanitary transportation • Foreign supplier verification
FSMA Rules Timeline • Legislative deadline for implementing final produce safety and facility preventive controls rules would have been 2013 • Proposed produce and facilities rules published in 2013; comment period closed Nov. 22 • Northern District of CA judge has set June. 2015 as final deadline for all FSMA rules • FDA has already stated it will republish at least parts of produce and facilities proposed rules for further public comment
FSMA Rules Timeline, cont’d • Staggered timelines for application of both rules, based on size of business • Produce Rule: Large farms (>$500,000) subject to compliance 2 years after final rule publication; Small farms (<$500,000) get 3 year phase-in; Very Small (<$250,000) farms get 4 years • Facilities Rule: Large firms get 1 year; Small get 3 years; Very Small get 4 years
Proposed Produce Rule • Key standards: • Personnel qualifications/Worker health and hygiene training (SUBPART C & D) • Water (SUBPART E) • Animal-derived soil amendments (SUBPART F) • Animals (wildlife and domestic) (SUBPART I) • Facilities and food contact surfaces (equipment, tools, instruments and controls, transport) (SUBPART L) • Plus additional, special rules for sprouts
Proposed Facilities Rule • Key standards: • Good Manufacturing Practices: Updates existing GMP regulations in 21 CFR 110 • Hazard Analysis and Risk-Based Preventive Controls: Requires every food facility to have • written food safety plan • hazard analysis • food safety plan monitoring • corrective actions • validation of plan • periodic reanalysis and revision of plan • documentation
Congressional Protections forLocal Food, Conservation • Scale appropriate regulations and options for small and mid-sized farms serving local and regional markets (Tester-Hagan Amendment) • Ensure protection of beneficial on-farm conservation and wildlife practices • Complement – not contradict – National Organic Program regulations
Congressional Protections forLocal Food, Conservation, cont’d • Minimize extra regulations for low-risk processing that is part of value-added production • Streamline and reduce unnecessary paperwork for farmers and small processors • Allow farm identity preserved marketing as an option in place of government trace-back controls • Funding for training through new competitive grants program
How Did FDA Do? • Ag water subjected to EPA recreational water quality standards, weekly testing • No approved treatment for irrigation water that exceeds EPA recreational water standards; but treating water gets farm out of testing requirement • No scientific basis for applying EPA recreational water standard to irrigation water • Far more stringent threshold than World Health Organization irrigation water standards • No analysis of what surface waters meet this standard
How Did FDA Do? • Compost and manure fertilizer subject to more stringent rules than National Organic Program • More than doubles the length of ‘withdrawal’ period between application of manure and harvest of produce allowed under NOP—longer than the growing season in most parts of the country • No scientific basis for limitations on use of compost • Ignores evidence of effectiveness of biological soil amendments in controlling pathogens • Increased use of synthetic fertilizers
How Did FDA Do? • Local food businesses at competitive disadvantage • Farms treated as ‘facilities’ • Small food processors sell 4% of food, will bear 73% of compliance costs • FDA acknowledges wide variety of ‘processing’ activities are low risk, but regulates them as high risk anyway • If large facilities are already in compliance, what does that say about whether these standards will enhance prevention of foodborne illness outbreaks?
How Did FDA Do? • Small farms and businesses denied due process • Statutory protections can be withdrawn for almost any reason • No opportunity to reinstate those protections if it turns out FDA was wrong, or any problem is corrected • All a farm’s product sales count toward whether farm is protected or not, even sales of products that aren’t actually regulated by FDA
How Did FDA Do? • Wildlife habitat not targeted by the rules, but not promoted by them either • Preamble language acknowledges that habitat and vegetation around fields does not need to be removed, and may even support food safety • But statutory language doesn’t encourage those practices • Private standards and some buyers likely to continue to pressure farms to remove habitat, buffers
Agriculture United for the First Time Ever • National Association of State Depts. of Agriculture calls for ‘do over’ on proposed rules • Produce industry outcry from large and small entities alike • Belated Environmental Impact Statement
Roland McReynolds Executive Director Carolina Farm Stewardship Association PO Box 448 Pittsboro, NC 27312 (919) 542 2402 roland@carolinafarmstewards.org www.carolinafarmstewards.org