Title: European Toxicology Forum Safety of Food Enzymes
1European Toxicology ForumSafety of Food Enzymes
- William T. Allaben, Ph.D., Fellow, ATS
- National Center for Toxicological Research
- U.S. Food and Drug Administration
2Office of Food Additive SafetyUniversity
Station, River Road, College Park, MD
Home Sweet Home November 2004
3Center for Food Safety and Applied Nutrition
4OFASs Food Ingredients Universe
- Direct food ingredients
- Color additives
- Generally Recognized as Safe (GRAS) ingredients
- Foods/ingredients produced using genetic
engineering - Processing Aids
- Food irradiation equipment
- Food packaging/food contact substances
5Overview
- REGULATORY OPTIONS
- Food additive (petition)
- subject to premarket approval
- GRAS determination voluntary notice
- not subject to premarket approval
- SAFETY ASSESSMENT
- Information provided in GRAS notices
- Safety of Food Enzymes
- Enzyme Case Study
- Lipase from a conventional microorganism
61958 Food Additive Amendment to the Food, Drug
Cosmetic Act
- Defines food additive
- Requires premarket approval of new uses of food
additives - Provides for a GRAS exemption
- Establishes the standard of review
- Establishes the standard of safety
- Establishes formal rulemaking procedures for food
additives -
7Regulatory Basis
- In the United States, a food additive is defined
as - any substance the intended use of which results
or may reasonably be expected to result, directly
or indirectly, in its becoming a component or
otherwise affecting the characteristics of any
food if such substance is not generally
recognized to be safe (GRAS) under the
conditions of its intended use - H.R. Report No. 2284, 85th Congress 1958
8REASONABLE CERTAINTY OF NO HARM(Legislative
History of the FDC Act)
- The concept of safety used in this legislation
involves the question of whether a substance is
hazardous to the health of man or animal. Safety
requires proof of a reasonable certainty that no
harm will result from the proposed use of an
additive. - It does not -- and cannot -- require proof beyond
any possible doubt that no harm will result under
any conceivable circumstance.
H.R. Report No. 2284, 85th Congress 1958
9U.S. Regulatory Processes for Food Ingredients
- Food Additive Petition
- Regulation in 21 CFR 172 or 173
- GRAS Notice (nearly 200 notices)
- Primary route for submitting information on
microbial enzymes to FDA - Information available on the Internet
- www.cfsan.fda.gov/dms/opa-cg7.html
10GRAS Criteria Comparing a GRAS Substance to a
Food Additive
Food Additive
GRAS Substance
Review Approval by FDA
Evidence of Safety
General Recognition
Evidence of Safety
Widely known
Consensus
11The Essence of GRAS
- Premarket approval of food additives unless the
use of the substance is GRAS - Information What distinguishes a GRAS substance
from a food additive - The information relevant to the safe use of a
GRAS substance is widely known - There is consensus among qualified experts that
the available information establishes that the
intended use of a GRAS substance is safe
(case-by-case, e.g. use patterns / chemical /
toxicological / microbiological ) - Basis for a GRAS determination
- Scientific procedures
12The GRAS ProposalApril 17, 1997
- Proposed notification program for GRAS substances
- Notifier prepares summary and tells FDA the basis
for its GRAS determination - Three categories of FDA response letters
- No questions regarding GRAS notification
- No basis for GRAS determination
- Withdrawn by notifier
13GRAS Notification Process (1)
- The notifier may ask for a presubmission meeting.
- The notifier elects to send a notice to the FDA.
- States a GRAS exemption claim
- Summary of technical information
- May include report from notifier GRAS Panel
- The FDA sends an acknowledgement letter.
14GRAS Notification Process (2)
- The FDA reviews the notice to determine if it
provides a basis for the GRAS determination. - The notifier may withdraw the notice any time.
- After reviewing the notice, FDA sends a letter.
- The FDA maintains a readily accessible file of
letters and certain information from GRAS notices
on the Internet - http//www.cfsan.fda.gov/rdb/opa-gras.html
15Safety of Enzymes Used in Food FDA Perspective
- Animal-Derived Preparations
- Bovine Liver Catalase / Cheeses
- Plant-Derived Preparations
- Barley Produced Amylase / Sugar Syrups
- Microbially-Derived Preparations
- E. Coli K-12 Chymosin / Cheeses
16Microbial Enzyme Submissions
- GRAS Notices - most commonly used means for
submitting information about microbial enzymes to
FDA - Include published and non-published information
- Notices commonly include certain categories of
information ----
17Information Provided About Microbial Enzyme
Preparations in GRAS Notices
- Safety of the enzyme
- Safety of the production microorganism
- Safety of the manufacturing process
- Safety of the enzyme preparation
18The Enzyme
- Identity
- (name, IUB classification, CAS Reg. No.)
- Enzymatic activity (reactions catalyzed)
- Physico-chemical characteristics
- (e.g., MW, thermal stability, optimum pH)
- Genetic modifications at the DNA and amino acid
levels (if applicable)
19The Production Microorganism
- Name and taxonomic classification
- Source (animal, plant, microbial)
- Important characteristics
- Nonpathogenic (nor antibiotic properties)
- Nontoxigenic
- History of safe use
- Genetic modifications (e.g. to modify metabolic
pathways to prevent mycotoxin or proteases
production)
20For a Bioengineered Production Microorganism (1)
- Characterization of the host strain
- Description of the expression plasmid (genetic
material, its identity, organization, and origin)
21For a Bioengineered Production Microorganism (2)
- Description of the gene encoding (genetic
sequence) the enzyme (source(s), modifications) - Introduction of hereditary materials (DNA) into
the host and characterization of the production
strain (no unexpected genetic material
introduced)
22The Manufacturing Process
- Fermentation (controlled process using food grade
raw materials) - Removal of the microorganism
- Recovery of the enzyme
- Purification and concentration
- Formulation and standardization of the enzyme
preparation
23The Enzyme Preparation
- Consideration of constituents derived from
source, and manufacturing process - Use in food
- Level in food (generally very low)
- Estimation of daily intake
- Toxicological studies (case-by-case basis may
include gene mutation, chromosomal aberrations,
acute toxicity in rats, etc.)
24The Enzyme Preparation
- Composition (including total organic solids
TOS) - Specifications (Food Chemicals Codex, 5th
edition, 2004 JECFA, 2001)
25Human Exposure to Enzyme Preparations (1)
- Enzyme preparations are used in food at low
levels (generally at less than 1) - Exposure for individual enzyme preparations is
traditionally calculated as TOS (Total Organic
Solids)
26Human Exposure to Enzyme Preparations (2)
- TOS is the content of organic solids derived from
the source organism or the manufacturing process
the major component of TOS is usually the enzyme
of interest - TOS () 100 Ash () Water ()
Formulation aids ()
27Human Exposure to Enzyme Preparations (3)
- Estimated exposure for individual enzyme
preparations is very low (generally from several
micrograms to several milligrams TOS/person/day)
28Case Study Lipase
- GRN 000068 Lipase enzyme preparation derived
from Penicillium camembertii - Intended Use Production of fatty acids from
fats and oils - Similar to other lipases used in food processing
- Source Organism
- Nontoxigenic
- Nonpathogenic
- Long used in the production of Camembert cheese
29Lipase The Manufacturing Process
- Major steps
- Fermentation using food grade ingredients
- Enzyme secreted into medium
- Filtration and heat remove fungal cells
- Ethanol and acid precipitation
- Centrifuged, dried, crushed, blended with
diluents to desired activity
30Lipase The Enzyme Preparation
- Specifications
- Complies with general and additional requirements
of Food Chemicals Codex, 4th edition - Does not contain detectable antibiotics or
mycotoxins - Estimated intake 1 mg/person/day
31Lipase Studies
- Pathogenicity study organism (P. camembertii)
injected into mice no effects, not recovered) - Toxicological studies using concentrated lipase
enzyme preparation - 90 day gavage study in rats up to 2000 mg/kg/d
no effect - Bacterial mutagenicity no effects
32Lipase FDA letter
- Based on the information provided by Amano
Enzyme, Inc., as well as other information
available to FDA, the agency has no questions at
this time regarding Amanos conclusion that the
lipase enzyme preparation derived from P.
camembertii is GRAS under the intended conditions
of use. The agency has not, however, made its own
determination regarding the GRAS status of the
subject use of this lipase preparation. As
always, it is the continuing responsibility of
Amano to ensure that food ingredients that the
firm markets are safe, and are otherwise in
compliance with all applicable legal and
regulatory requirements.
33Summary
- In the U.S.A., microbial enzymes intended for use
in food are most commonly submitted to FDA as the
subjects of GRAS notices, which do not require
premarket review. - GRAS Notices commonly contain published and
unpublished information about - The Safety of the Enzyme
- The Safety of the Production Microorganism
- The Safety of the Manufacturing Process
- The Safety of the Enzyme Preparation
34CFSANs Web Sites of Interest
- Enzyme Preparations
- How to Submit a GRAS
- Summary of all GRAS Notices GRAS
- Notification Program FAQ about GRAS
35Thank You
- Special Thanks to the following CFSAN folks
- Alan Rulis
- Laura M. Tarantino
- Antonia Mattia
- Paulette Gaynor
- Zofia S. Olempska-Beer
- Robert Merker
36 CFSAN HOMEPAGE
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38CFSANs Web Sites of Interest
- CFSAN / OFAS / Enzyme Preparations
www.cfsan.fda.gov/dms/opa-cg7.html - How to Submit a GRAS www.cfsan.fda.gov/dms/opa-f
rgr.html - Summary of all GRAS Notices www.cfsan.fda.gov/rdb
/opa-gras.html - GRAS Notification Program www.cfsan.fda.gov/dms/o
pa-noti.html - FAQ about GRAS www.cfsan.fda.gov/dms/grasguid.htm
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