Title: Traceability
1Traceability
- The ability to trace and follow a food, feed, or
food producing animal or substance intended to be
or expected to be incorporated into a food or
feed, through all stages of production,
processing, and distribution
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2Background
- Host of Names and Related Issues
- Quality Assurance
- Identification systems
- Identity preservation
- Segregation
- Process control
- HACCP
- Process verification
- COOL
3Forces for Traceability
- Risk and Liability
- Loss of customers
- Loss of business
- Food Safety
- Food Quality
- Intrinsic and extrinsic characteristics
- GMO Crops
- BSE
- Biosecurity
4Are Consumers Willing to Pay for Traceability?
- Traceability has Some Value Itself
- More Value as Means of Verifying Other
Characteristics Like Food Safety - Can Add Value from Marketing
- Not necessarily just a cost
5Animal Identification
- Biosecurity and Disease Forced Issue
- ID Itself is Not the Solution
- Doesnt make food safe
- Doesnt prevent foreign disease
- Market Access
- US beef exports to Japan
6Animal Identification
- Disease
- Monitoring
- Control and eradication
- Emergency preparation
- Food Safety
- Compatibility
- Defined standard
- Compatible systems through sector
7Role For Government
- Regulation
- Set the Standards
- Oversight and Inspection
- Credibility
- Process Verification
8Summary
- Rapidly Changing Area
- Take some work to remain abreast of changes
- Animal ID System Moving Forward
- Industry and government action
- Moving Forward in All Areas
9Country of Origin Labeling (COOL) and the Cattle
Industry
- Source Derrell S. Peel, Livestock Marketing
Specialist, Oklahoma State University
10Mandatory COOL
- Proposed Mandatory Rules
- Issued October 27, 2003
- Comment Period
- Ends December 29, 2003
11What is Country of Origin Labeling
- Included in 2002 Farm Bill (PL 107-171)
- Amends Ag Marketing Act of 1946
- Covers 500 retail products
- Beef, Pork, Lamb (whole muscle and ground)
- Fresh and Frozen Fruits and Vegetables
- Seafood (wild and farm-raised)
- Peanuts
- Administered by AMS
12What Country of Origin Labeling Isnt
- Is not animal health or food safety
- FDA (food)
- FSIS (meat)
- APHIS (animals)
- Is not market grading
- AMS
13Components of COOL
- Retail product must be labeled
- Food service excluded
- Including delis and salad bars in retail
establishments - Excludes processed foods
- Becomes mandatory September 30, 2004
14Who Must Label - Retailer
- Retailer has meaning given in Perishable
Agricultural Commodities Act (PACA) a business
engaged in the selling of fresh and frozen fruits
and vegetables at retail with an annual invoice
value of more than 230,000 - Approximately 4,500 licensees (37,000 stores)
- PACA definition excludes butcher shops, fish
markets, and exporters - Exempts food service establishments including
those within retail establishments (e.g. delis
and salad bars)
15Consumer Notification Required at Retail
- Country of Origin
- Label or notice must
- Be legible
- Be in English
- Not obscure other required information
16Exclusions
- Covered commodities are excluded if an
ingredient in a processed food item - Regulation defines processed food item
- Does not exclude covered commodities just because
they have been further prepared for consumption
17Processed Food Item Change of Character
- A combination of ingredients that include a
covered commodity that has undergone a physical
or chemical change, and has character that is
different from that of the covered commodity - Examples of covered commodities excluded because
of change of character - Oranges squeezed to make orange juice
- Pork bellies cured and smoked to make bacon
18Processed Food Item Combination of Substantive
Food Components
- A covered commodity that has been combined with
- Other covered commodities
- Other substantive food components,
- And has a character different than that of the
covered commodity - Examples of covered commodities excluded because
they are a combination of substantive food
components - Bagged salad (e.g. lettuce, carrots and cabbage)
- Fruit trays/Vegetable trays (e.g. party trays)
- Seafood medley (e.g. shrimp, scallops and clams)
- Mixed nuts
19Covered Commodities Required to be Labeled
- Examples
- Solution-enhanced and seasoned pork loin
- Cooked beef roast
- Canned salmon
- Bagged lettuce
- Canned roasted and salted peanuts
- Breaded shrimp
20Covered Products Muscle Cuts of Beef, Lamb and
Pork
- All muscle cuts of beef, lamb and pork whether
chilled, frozen, raw, cooked, seasoned or
breaded.
21Beef Products
- Whole muscle meats
- Product of U.S.A.
- Mixed Origin
- Imported
- Ground beef
- Each specific origin included in the blend must
be included on the label in alphabetical order
22Labeling Requirements
- Product of U.S.A.
- Born, Raised and Slaughtered in the U.S.
- Product of Country X
- Labeled from entry until final sale
- Label only covers importing country (not other
countries of birth or production)
23Labeling Requirements cont.
- Mixed Origin (whole muscle)
- Examples
- Imported from country X, raised and slaughtered
in U.S. - With records Born (and raised) in country X,
raised and processed in U.S. - Imported from country Y, slaughtered in U.S.
- With records Born in country X, raised in
country Y, processed in U.S.
24Labeling Requirements cont.
- Mixed Origin (ground or blended)
- Example
- Ground beef Product of Australia Imported from
Mexico, Raised and Slaughtered in U.S.A.
Product of U.S.A.
25Recordkeeping
- Retailers must label covered commodities
- Must keep Point of Sale records for 7 days
- Must keep records of origin for 2 years
- Suppliers must provide information about country
of origin - Producers, handlers, processors, packers,
importers - Verifiable (auditable) records
- Suppliers must maintain records
- Affidavits may be used to certify origin and
existence of records
26Recordkeeping - Suppliers
- Any person engaged in the business of supplying
a covered commodity to a retailer, whether
directly or indirectly, is required to maintain
records to establish and identify the immediate
previous source and the immediate subsequent
recipient of a covered commodity, in such a way
that identifies the product unique to that
transaction, for a period of 2 years from the
date of the transaction.
27Recordkeeping - Suppliers
- Suppliers must provide origin information to
buyers - Records must identify previous source and
subsequent recipient of product - Must possess or have legal access to records that
substantiate origin claims - Must maintain records unique to each transaction
for 2 years
28Recordkeeping - Suppliers
- For suppliers that handle similar covered
commodities from more than one country, the
supplier must be able to document that the origin
of a product was separately tracked, while in
their control, during any production or packaging
processes to demonstrate that the identity of the
product was maintained.
29Enforcement and Violations
- Retailers and suppliers are subject to
enforcement provisions - 10,000 fine for willful violations
- USDA-AMS will conduct compliance reviews
- USDA-AMS will initiate investigations and
enforcement actions - Other statutes may apply as well
30COOL is a Food Labeling Bill
- Food Labeling is covered by the Food and Drug
Administration (FDA) - Code of Federal Regulations
- Title 21, Chapter I, Part 101.18
- Misbranding of Food
- Among the representations in the labeling of a
food which render such food misbranded is any
representation that expresses or implies a
geographical origin of the food except when such
representation is a truthful representation of
geographical origin
31Implications for Cattle Industry
- Probable minimum cow-calf records
- Owner and location
- Breeding herd inventory
- Purchased animals
- Cull sales
- Raised animals
- Number and Sex of Births by year
- Animal sales
- Buyer
- Date
- Animal sex
- Breeding animals are covered by COOL
32Implications for Cattle Industry
- Probable minimum stocker records
- Put-together groups
- Seller and location of purchased animals
- Date and sex of purchased animals
- Animal sales
- Buyer
- Date
- Animal sex
- Must be able to trace animals from different
source groups through management sorting and
commingling into several sales groups
33Implications for Cattle Industry
- Probable minimum feedlot records
- Each pen
- Seller and location of purchased animals
- Date and sex of purchased animals
- Animal sales
- Buyer
- Date
- Animal sex
34Implications for Cattle Industry
- Probable minimum packer records
- Each shift or slaughter group
- Owner and location of purchased animals
- Date and sex of purchased animals
- Meat sales by slaughter/fab group
- Lot number, date and plant
35Individual Animal ID
- Required? No, in fact, forbidden as a USDA
mandate - Necessary? Maybe not
- Helpful? Definitely
- Especially for stocker and feedlot sectors
36Current Status of COOL
- House and Senate Appropriations actions have
different language regarding implementation of
COOL - These differences are yet to be reconciled
- Various proposals to modify or repeal COOL
37Challenge for the Industry
- Plan for compliance
- Rules are uncertain and subject to change
- Make beneficial use of new information
- Use records to improve production and marketing