The American Feed Industry Association (AFIA) is calling upon the Food and Drug Administration to consider streamlining or removing several federal regulations and recordkeeping requirements that are unclear, duplicative, antiquated or do nothing to enhance the safety of America’s animal food supply at the great expense of small and large animal food manufacturers. AFIA submitted formal comments to the agency late yesterday in response to its federal docket (FDA-2017-N-5104) requesting input from industry and other stakeholders on current human and animal food safety regulations and information collection requirements that could be improved upon or reduced.
Upon submitting the letter to the FDA, Richard Sellers, AFIA’s senior vice president of public policy and education, said:
- Reducing the need for FDA inspectors to learn, and large feed mills to comply with, two sets of current good manufacturing practices (CGMPs), by aligning the Food Safety Modernization Act (FSMA) CGMPs with those of the medicated feed CGMPs, which have been in place for 40 years.
- More clearly defining when the FSMA written preventive controls and written supply-chain programs are or are not required to reduce the ambiguity facing animal food manufacturers and facilitate the better training of and inspections by state and federal regulators. As currently written, most facilities will assume they must follow preventive controls. These controls are estimated to cost the industry an excess of $800 million with very little benefit to animal food safety.
- Removing several elements of the FSMA hazard analysis (i.e., illness data, scientific reports and the assessment and determination of the probability of hazards), which would be overly cost-prohibitive for small animal food manufacturers to comply, with little indication that such egregious hazards exist.
- Establishing speedier and more consistent ingredient review processes that allow innovative products to come to market to benefit animal nutrition, animal food safety and human food safety.
- Eliminating several other unnecessary or duplicative written recordkeeping requirements, including: under Part 11 Veterinary Feed Directive and medicated feed CGMPs, the FSMA’s written assurances, and the FDA’s annual drug establishment registration for medicated feed mill license applications.
For more information, read AFIA’s full letter here.