Skip to content

Menu

ChannelsPublishersSubscribe
LexBlog, Inc. logo
LexBlog, Inc. logo
ProductsSub-MenuBlogsPortalsTwentySyndicationMicrositesResource Center
Join
Search
Close
Join the Movement. Blog 4 Good

FDA Clarifies Food Traceability List Descriptions and Publishes Related FAQ

By Jill Mahoney
January 13, 2021
EmailTweetLikeLinkedIn
  • On January 12, the FDA made the following two updates to its Food Traceability Proposed Rule:
  1. The Agency made clarifying edits to the Food Traceability List (FTL), which lists the foods for which additional traceability recordkeeping requirements in the proposed rule would apply. Edits to certain commodity descriptions were made for clarity, but do not change which foods are on the FTL. For example, the word “fresh” was added to certain fruit and vegetable commodities to clarify the scope. Similarly, the description for “cheeses, other than hard cheeses” was revised to clarify which cheeses apply, and included examples of such cheeses. A description of the edits is available in the memo “Food Traceability List of ‘Requirements for Additional Traceability Records for Certain Foods’ Proposed Rule – Clarified Language.”
  2. The Agency published an FAQ on the proposed rule to assist stakeholders in providing feedback during the comment period, which was extended until February 22, 2021. Comments can be submitted at https://www.regulations.gov/ Docket ID: FDA-2014-N-0053. Those submitting comments to the proposed rule are encouraged to provide real life examples and details about specific arrangements for consideration.
  • As previously discussed on this blog here and here, FDA’s proposed rule would establish additional traceability requirements for persons who manufacture, process, pack, or hold certain foods designated on the FTL. The proposed requirements would apply to foods listed on the FTL, including certain cheeses, shell eggs, nut butter, various fruits and vegetables, finfish, Crustaceans, Mollusks (bivalves), and ready-to-eat deli salads, as well as foods containing FTL foods. At the core of the proposed rule is a requirement for those who manufacture, process, pack or hold foods on the FTL to establish and maintain records containing Key Data Elements (KDEs) associated with different Critical Tracking Events (CTEs). While the proposed requirements would only apply to those foods on the FTL, they were designed to be suitable for all FDA-regulated food products. FDA encourages the voluntary adoption of these practices industry-wide.
  • As mentioned above, the proposed rule is available for public comment until February 22, 2021. Keller and Heckman attorneys are well-versed in food safety and traceability-related issues and are available to assist interested parties in preparing comments for submission. For assistance, please email: fooddrug@khlaw.com.
  • Posted in:
    Food, Drug & Agriculture
  • Blog:
    The Daily Intake
  • Organization:
    Keller Heckman
  • Article: View Original Source

Stay Connected

Facebook LinkedIn Twitter RSS
Real Lawyers

Company

  • About LexBlog
  • Careers
  • Press
  • Contact LexBlog
  • Privacy Policy
  • Editorial Policy
  • Disclaimer
  • Terms of Service
  • RSS Terms of Service

Products

  • Products
  • Blogs
  • Portals
  • Twenty
  • Syndication
  • Microsites

Support

  • 1-800-913-0988
  • Submit a Request
  • Support Center
  • System Status
  • Resource Center

New to the Network

  • The HB Blog
  • The Tax Trotter
  • The Westchester Litigator
  • Data Privacy + Cybersecurity Insider
  • Law from the East to the West
Copyright © 2021, LexBlog, Inc. All Rights Reserved.
Powered By LexBlog