Background

The Food and Drug Administration has extended from Jan. 26 to April 26 the deadline for the submission of information and comments on the use of the term “healthy” in food labeling, including what it should mean from a nutrition perspective and how consumers understand and use “healthy” food claims.

FDA regulations currently provide for use of the term “healthy” or related terms as an implied nutrient content claim on the label or in labeling of food. The food must meet specific criteria for nutrients to limit in the diet, such as total fat, saturated fat, cholesterol, and sodium, as well as nutrients to encourage in the diet, including vitamin A, vitamin C, calcium, iron, protein, and fiber. These criteria can vary for different food categories (e.g., fruits and vegetables, seafood and game meat, etc.).

FDA has now launched a process to redefine the “healthy” claim and is providing an additional three months for public input in response to requests for more time. The FDA also intends to hold a public meeting to facilitate further dialogue on this topic.

In the meantime, the FDA has said it intends to exercise enforcement discretion with respect to the current requirement that any food bearing the “healthy” claim meet low fat requirements provided that (a) the amounts of mono- and polyunsaturated fats are declared on the label and (b) the amounts declared constitute the majority of the fat content. Similarly, the FDA intends to exercise enforcement discretion with respect to the requirement that such foods contain at least 10 percent of the daily value per reference amount customarily consumed of vitamin A, vitamin C, calcium, iron, protein, or fiber if the food instead contains at least 10 percent of the DV per RACC of potassium or vitamin D.

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