Courtney Rheinhart, Food Safety Regional Manager
Transcription
Courtney Rheinhart, Food Safety Regional Manager
An Analysis of Regulatory Schemes Used Throughout the U.S. for Home-Based Food Businesses: Options Available to Enhance Food Safety Courtney Rheinhart IFPTI 2011 Fellow Virginia Department of Agriculture and Consumer Services Slide 1 Background • Requests to manufacture food products in private homes are on the rise • When food is produced in the private home, often the same standards of safety cannot be met as those in the mainstream food processing facilities • Due to overwhelming support for the cottage food industry, Virginia has little to no restrictions in regards to home-based food businesses Slide 2 Problem Statement • Home-based food businesses present unique food safety and defense challenges to regulatory agencies throughout the U.S. • State food regulatory agencies may not be aware of all regulatory options available or the positive impacts these options may provide Slide 3 Research Questions 1. What are the commonalities and differences between state regulatory requirements for home-based food businesses in the U.S.? 2. How do Virginia’s regulatory requirements compare to national estimates of state regulatory requirements for home-based food businesses in the U.S.? Slide 4 Methodology • An analysis of existing state regulatory policies and procedures for home-based food processors was conducted • Key personnel from the other 49 state agencies who are responsible for food-related regulatory programs were contacted via email and asked to participate in an online survey Slide 5 Methodology • Survey contained 24 questions that were developed to address regulatory schemes currently used by other state agencies • These policies and procedures were then compared to the approach currently being used by the Virginia Department of Agriculture and Consumer Services (VDACS) Slide 6 Study Population Of the 49 state agencies polled throughout the country, 40 responded to the survey. Slide 7 Results Of the states that responded: • 77.5% (31) do permit the sale of home-based food products • 22.5% (9) do not permit the sale of home-based food products Slide 8 Results (continued) Of the states that allow the sale of food products manufactured in the home kitchen: • 96.8% (30) place restrictions on the types of food products that can be sold Slide 9 Results (continued) • Types of Food Products: – 57.1% (12) only allow non-PHF • Of those, three place further restrictions on specific types of Non PHFs that can be sold – Only 12.9% (4) allow the sale of PHF – One state agency answered that they allow the sale of all types of food products Slide 10 Results (continued) Food Products Manufactured in the Home Kitchen That Can Be Sold Types of Food Products Slide 11 Results (continued) 73.3% (22) answered that they place restrictions on where these products can be sold Where Food Products Manufactured in the Home Can Be Sold Where Slide 12 Results (continued) • 45.2% (14) license home-based businesses, while 54.8% (17) do not • Of the states that responded to the question on whether they had the authority to inspect home-based food businesses, 60% (18) stated they did while 33.3% (10) responded they did not, and one (1) respondent was unsure whether their agency had the authority to inspect home-based food businesses • All but two state agencies responded they had some type of regulatory authority over home-based food establishments Slide 13 Results (continued) • 71.4% (15) responded that they do have inspection exemptions, while 28.6% (6) responded that they do not • 22.2% (6) states responded that they require operators of home-based businesses to attend some type of training Slide 14 Results (continued) • 93.1% (27 out of 29 states) responded that they require these type of foods to be labeled – 51.9% (14) stated the label must include a caveat that the food was manufactured without inspection by the state regulatory authority Slide 15 Results (continued) • Although 56.7% of state agencies responded that that they only allow non potentially hazardous food, VDACS allows both potentially hazardous and non potentially hazardous food items • While 73.3% of state agencies place restrictions on where these types of products can be sold, VDACS allows these products to be sold anywhere Slide 16 Conclusions • Regulatory authority varied greatly among state agencies • There is a lack of uniformity in regards to the regulations used to oversee home-based food manufacturers • VDACS does not place as many restrictions on homebased food businesses as other states Slide 17 Recommendations • Association of Food and Drug Officials (AFDO) should submit their Cottage Foods Regulatory Guidance document to the Conference of State Legislatures for potential adoption at the state level • States should readdress their cottage food guidelines so that they match up more closely to the guideline document • In order to address any lack of regulatory oversight, state agencies should invest resources in providing training to operators Slide 18 References Article 3.2-5130. Miscellaneous Subjects. (2011). Code of Virginia. Retrieved from http://leg1.state.va.us/cgibin/legp504.exe?000+cod+3.2-5130 Hall, P. A. (2009, March 26). The value of third party independent audits in assuring food safety: truly independent? A Presentation at IAFP’s Symposium on Salmonella in Peanut Understanding the Risk and Controlling the Process. Retrieved from http://www.foodprotection.org/files/rr_presentations/RR_09.pdf Are they Products— Koch, B. (2011). Packaging equipment design and food safety. Food Manufacturing. Retrieved from http://www.foodmanufacturing.com/scripts/ShowPR~PUBCODE~033~ACCT~0002488~ISSUE~0401~RE LTYPE~PR~PRODCODE~009955~PRODLETT~A.asp Scott, E. (2003). Food safety and foodborne disease in 21st century homes. Canadian Journal of Infectious Diseases, 14(5), 277-280. Retrieved from http://www.ncbi.nlm.nih.gov/pmc/articles/PMC2094945/ Sutton, Jim. (2009). Cottage industry may save modern America. Home Run Business. Retrieved from http://www.homerun-business.com/cottage_industry.htm Wolfson, Joshua. (2009, December 21). New rules prompt debate over food licensing. Trib.com. Retrieved from http://trib.com/news/local/article_e7c3b293-7693-5e77-9bff-192066686e99.html Slide 19 Acknowledgements • • • • • • • International Food Protection Training Institute (IFPTI) – Dr. Craig Kaml, Vice President, Curriculum, IFPTI – Dr. Kieran Fogarty, Acting Director of Evaluation and Assessment, IFPTI and Associate Professor, Western Michigan University – IFPTI Subject Matter Experts (SMEs) and staff Dan Sowards, IFPTI Mentor Association of Food and Drug Officials (AFDO) Joseph Corby, IFPTI SME and Executive Director, AFDO IFPTI 2011 Fellows Shana Davis and Shane Thompson, IFPTI Cohort 2 Fellows Virginia Department of Agriculture and Consumer Services (VDACS) – Pamela Miles, Program Supervisor – Doug Saunders, Deputy Director – Rick Barham, Regional Manager Slide 20 Questions? Slide 21