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Coalition asks review panel to consider food leader for upper echelon at FDA

Coalition asks review panel to consider food leader for upper echelon at FDA
Coalition asks review panel to consider food leader for upper echelon at FDA


Editor’s note: This is a letter sent by a large coalition of consumer and industry groups to Jane Henney, the chair of the Independent Expert Panel – FDA Human Foods Program of the Reagan-Udall Foundation, that is charged with investigating operations at the Food and Drug Administration.

Dear Dr. Henney: 

The undersigned coalition appreciates the opportunity to submit comments to the Reagan-Udall Foundation as part of its review of the foods program at the Food and Drug Administration (FDA). It has become evident in recent years that the foods program is in need of a significant culture change that would allow for a focus on illness prevention with improved governance, accountability, and transparency. 

The review panel is likely aware of the April 25 letter signed by many of the groups represented in these comments that highlighted the structural, governance, and performance problems in the FDA foods program and its effect on the ongoing implementation of the Food Safety Modernization Act (FSMA) and the execution of the New Era of Smarter Food Safety blueprint.

The success of these, and all, initiatives depend on all major foods program units – the Center for Food Safety and Applied Nutrition (CFSAN), Center for Veterinary Medicine (CVM), and the Office of Regulatory Affairs (ORA) – working together seamless with their state partners and with a common strategic direction, clear priorities, sound resource management, and internal accountability. Success also requires transparency and robust engagement with industry, consumer groups, state associations, and other stakeholders. 

As part of our letter, we urged FDA Commissioner Robert Califf to create an empowered deputy commissioner for food position that would lead a unified foods program. This position would have direct line authority over all major program components, including CFSAN, CVM, and the relevant components of ORA. 

The need for reforms within the FDA foods program is extensive and will not be solved by the appointment of an empowered deputy commissioner position alone. However, it would bring focused leadership and accountability, and a unified structure that clearly establishes internal roles and responsibilities and strengthens the program’s ability to dialogue effectively with its many internal and external stakeholders. The empowered deputy commissioner and unified structure would also allow for streamlined decision-making and swift responses that would benefit all stakeholders, both in urgent matters and for daily operations.

Finally, this structural reform would enable enhanced transparency across the program, including: clearly documenting where resources are invested within the foods program through a transparent and consistent methodology; engaging in the open sharing of non-proprietary information, both internally and with external stakeholders; and publishing the analyses that form the basis of regulatory decisions. 

While we recognize that CVM is excluded from your review, we are concerned that this exclusion demonstrates FDA’s unwillingness to address difficult internal issues involving structure and accountability, and could be an attempt to influence this panel’s recommendations. It also demonstrates a lack of understanding of how the food system works. Virtually every element of CVM’s program relates in some way to the food system, including the animal drug approval program, which mainly applies to human food animals, and the regulation of animal feed, which affects both human and animal health. Excluding CVM from this review increases the potential that this panel’s final report and recommendations will be incomplete. 

We appreciate your consideration of these comments and the panel’s overall work on this critical review of the FDA foods program. 

Sincerely,

Consumer/Public Health Groups Industry Groups
Antibiotic Resistance Action Center (GWU) American Bakers Association
Center for Biological Diversity American Frozen Food Institute
Center for Food Safety Consumer Brands Association
Consumer Federation of America  Corn Refiners Association
Consumer Reports FMI – The Food Industry Association
Environmental Defense Fund  Global Cold Chain Alliance
Environmental Working Group  International Fresh Produce Association
Friends of the Earth National Confectioners Association
Healthy Babies Bright Futures  National Fisheries Institute
Johns Hopkins Center for a Livable Future National Grocers Association
National Consumers League National Pasta Association
Natural Resources Defense Council National Restaurant Association
STOP Foodborne Illness National Seasoning Manufacturers Assoc.
North American Millers’ Association
State and Local Government Peanut and Tree Nut Processors Association
Association of Food and Drug Officials Refrigerated Foods Association
SNAC International
Western Growers

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