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 2006 Food Labeling News
Wendy Hess, R.D., C.D.E.,
is a Registered Dietitian and a Certified Diabetes Educator with more than two decades of experience in the dietetic field.

IACP memberShe is a member of Vermont Specialty Foods Association, the International Association of Culinary Professionals and the American Dietetic Association.

Using state-of-the-art software, nutrition analysis can provide your company with timely, cost-saving and product-enhancing data. This method of producing nutritionals and Nutrition Facts labels is approved by the FDA.


JANUARY 1, 2006: UPCOMING CHANGES IN FOOD LABELING

Trans Fat

Trans Fat in the Nutrition Facts Panel The FDA published the final rule on July 11, 2003, and states that any conventional food or dietary supplement that is produced and shipped in interstate commerce after January 1, 2006 must comply with the labeling requirements of the final rule.

Any product that has left the manufacturers possession and is part of another firm’s inventory (distributor) prior to January 1, 2006 may be distributed and sold after this date (as long as they do not enter interstate commerce). There is no deadline by which these products need to be sold. However, products previously labeled without trans fat and in the manufacturers possession cannot enter interstate commerce on or after January 1, 2006.

Trans fatty acids should be listed as “Trans Fat” or “Trans” on a separate line under the listing of saturated fat in the Nutrition Facts Label. Trans fat content must be expressed as grams per serving to the nearest 0.5-gram increment below 5 grams and to the nearest gram above 5 grams. If a serving contains less than 0.5 gram, the content, when declared, must be expressed as “0”.

If a product qualifies for a “simplified” Nutrition Facts Panel, has a “0” value for total fat, and there are no nutrient claims made about trans fat, total fat, saturated fat, or cholesterol, trans fat does not need to be declared. In the absence of these claims, the statement “Not a significant source of trans fat” may be placed at the bottom of the table of nutrient values in lieu of declaring “0g” of trans fat.

Food producers may petition the FDA to use up old label stock; cases will be determined on an individual basis.

For more information: http://www.cfsan.fda.gov/~dms/transgui.html

To update your Nutrition Facts Panel, call or E-mail:

Wendy Hess, RD, CDE
Consulting in Nutrition Analysis
802-863-3033
info@nutrient-analysis.com

Allergen Declarations

Allergen Declarations: There are eight major food allergens that can cause potentially life- threatening allergic reactions in consumers: milk, soybean, tree nuts, peanuts, eggs, wheat, fish and shellfish.

To provide more customer-friendly food labels, Congress passed the Food Allergen Labeling and Consumer Protection Act (FALCPA) in August of 2004. This law also goes into effect on January 1, 2006, therefore, any food label that is applied to a food product during production on or after this date must be in compliance.

Food products that were produced, and therefore have food labels that were applied to their products prior to this date, which are part of a firm’s inventory, may be distributed and sold after January 1, 2006. There is no deadline by which these food products need to be sold.

There are two ways to provide the required allergy information on your food label:

1. The ingredient statement will state the allergen in common terms as part of its name (i.e.: “casein (milk)”, “TVP (soy)”.) 2. There will be an allergen summary statement directly after the ingredient list that clearly states the potential allergen that is present in the product:

“Contains __________________________” *

(Examples of acceptable ingredient terms commonly understood by consumers of major food allergens include: “eggs”, “milk”, “peanuts”, “shrimp”, “soy”, “walnut”, and “wheat”.)


*This statement must include any and all of the allergens from the ingredient list if used.

For more information, see: http://www.cfsan.fda.gov/~dms/alrgact.html


info@nutrient-analysis.com
Wendy Hess, RD, CDE    115 Charlotte Street ~ Burlington, Vermont 05401     802.863.3033 ~ FAX 802.658.6376
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