USDA, FSIS is planning rulemaking on trans fat label
declarations to consider provisions in the meat and poultry regulations
that are consistent with FDA’s rules. In the interim, FSIS will
not object to the voluntary declaration of trans fatty acids in
Nutrition Facts panels on labeling of food products under its
jurisdiction if the declaration is made in accordance with FDA
regulations published in the
Federal Register on July 11, 2003, that amend 21 CFR Part
101. Companies that wish to include a trans fat declaration will
need to submit at least one label sketch that includes the trans
fatty acid declaration in the Nutrition Facts panel to the Labeling
and Consumer Protection Staff (LCPS). Subsequent labels that include
trans fatty acid declarations can be generically approved in concert
with the Agency’s regulations on generically approved labeling
(9 CFR 317.5
and 381.133).
There are no FDA provisions for claims regarding trans fatty acids.
Thus, any labeling that includes a statement regarding trans fatty
acids that is outside of and in addition to the Nutrition Facts
panel declaration would need to be submitted to LCPS for evaluation.
This allowance is in concert with previous determinations to permit
the voluntary labeling of nutrients in Nutrition Facts for which
FSIS has not codified RDI’s, but that are codified in Title 21
of the FDA regulations. Nutrients that may be included in the
Nutrition Facts panel include Vitamin K, Selenium, Manganese,
Chromium, Molybdenum and Chloride. Labels with such nutrient declarations
and claims must be evaluated by the Agency before the products
bearing labeling with such information may be marketed.
Further information about labeling may be obtained from Dr. Robert
Post, Director, Labeling and Consumer Protection Staff, at (202)
205-0279 and from the Agency’s labeling
policy website.
Last Modified: January 12, 2006
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