Monthly Archives: September 2015

Govt Approves Nuclear Irradiation of Tomatoes and Capsicums

tomatoThe irradiation of tomatoes & capsicums (bell peppers) has been approved by Food Standards Australia New Zealand (FSANZ). In Australia, all irradiation is done with nuclear material.

the average Australian consumes an estimated 23kgs of tomato-based products per year – FIWatch in submission to FZANZ

A1069 and the FSANZ assessment of it are based on primary, unpublished research conducted by Qld DEEDI, the applicant itself. Both the Queensland government and FSANZ admit the existing literature on the irradiation of tomatoes and capsicums has “limited”value or relevance. They then emphasise that their own unpublished research was conducted under conditions similar to those expected when tomatoes and
capsicums are irradiated here in Australia and appear to rely on this as the basis for their argument that they do not need to have their own research peer-reviewed or tested by an independent agent.

Now, A1069 (the application for the irradiation of tomatoes and capsicums) only requires rubber-stamping from the Ministerial Council. Each state has at least one STATE MP on the Council. Let your local member know that you say NO!!!

The irradiation of tomatoes and capsicums poses a risk to our community and is not in the public interest. A1069 must be rejected.

Australian Government:

Hon Tanya Plibersek MP
Minister for Health and Ageing
150 Broadway, Chippendale NSW 2008 Minister.Plibersek@health.gov.au

The Hon Catherine King, MP
Parliamentary Secretary for Health and Ageing
PO Box 6022, House of Representatives
Parliament House Canberra ACT 2600 Catherine.King.MP@aph.gov.au

Senator the Hon Joe Ludwig
Minister for Agriculture, Fisheries and Forestry
GPO Box 2477, Brisbane QLD 4001 joe.ludwig@maff.gov.au

New Zealand:

The Hon Nikki Kaye. MP,Minister for Food Safety
P.O. Box 47-658,Ponsonby
Auckland 1144 New Zealand mp.aucklandcentral@parliament.govt.nz

Australian State & Territory Reps:

QLD

Lead Minister: The Hon Lawrence Springborg, MP
Minister for Health
GPO Box 48, Brisbane QLD 4001 Health@ministerial.qld.gov.au

The Hon John McVeigh MP
Minister for Agriculture, Fisheries and Forestry
GPO Box 46, Brisbane QLD 4001 Agriculture@ministerial.qld.gov.au

NSW

Lead Minister: Ms Katrina Hodgkinson, MP
Minister for Primary Industries
Level 30 Governor Macquarie Tower
1 Farrer Place, Sydney NSW 2000 office@hodgkinson.minister.nsw.gov.au

Mrs Jillian Skinner, MP, Minister for Health
Level 31 Governor Macquarie Tower
1 Farrer Place, Sydney NSW 2000 office@skinner.minister.nsw.gov.au

NT

The Hon David Tollner, MLA, Minister for Health
GPO Box 3146 Darwin NT 0801
Email: Minister.tollner@nt.gov.au

VIC

Lead Minister: The Hon David Davis, MLC
Minister for Health
Shop 4, 976 Riversdale Rd., Surrey Hills VIC 3127 david.davis@parliament.vic.gov.au

The Hon Peter Walsh, MP
Minister for Agriculture and Food Security
Level 20,1 Spring Street, Melbourne VIC 3000 peter.walsh@parliament.vic.gov.au

WA

Lead Minister: The Hon Dr Kim Hames, MB BS JP MLA, Minister for Health
PO Box 5551 Falcon WA 6210
kim.hames@mp.wa.gov.au

The Hon Terry Redman, MLA
Minister for Agriculture and Food
11th Floor, Dumas House
2 Havelock Street, West Perth WA 6005 Minister.Redman@dpc.wa.gov.au

TAS

Lead Minister: The Hon Michelle O’Byrne, MP
Minister for Health
GPO Box 1470, Hobart TAS 7000 Michelle.O’Byrne@parliament.tas.gov.au

ACT

Ms Katy Gallagher, MLA
Minister for Health
GPO Box 1020, Canberra ACT 2601 gallagher@act.gov.au

SA

Lead Minister: The Hon Jack Snelling, MP
Minister for Health and Ageing
GPO Box 2555 Adelaide SA 5001 Email: Minister.health@health.sa.gov.au

The Hon Gail Gago, MLC
Minister for Agriculture, Food and Fisheries
GPO Box 464 Adelaide SA 5001 Email: minister.gago@sa.gov.au

Australian Local Government Association:

Councillor Bill McArthur
Golden Plains Shire
President of the Municipal Association of Victoria
PO Box 111,Bannockburn VIC 3331

 

Would You Like Radiation With That? Irradiated Tomatoes? A Toxic Treatment of a Beloved Fruit

The average Australian eats 52kg of tomatoes a year

The average Australian eats 52kg of tomatoes a year

Two toxic chemicals, fenthion and dimethoate, nerve inhibiting pesticides used in Australian food production, are under review and are to be phased out. Use of these organophosphates is severely restricted overseas. Australian growers have known about potential problems with these chemicals for a long time. In fact, the review of fenthion began in 1994 and the review of dimethoate was announced in 1995, but did not actually begin until 2005. i Despite the review, Australian growers, under pressure from supermarket chains and large food corporations, chose to continue to use these chemicals because it is cheaper to do so than to establish good production practices that produce quality healthy food.

The 15 years since the reviews were announced were not used to develop positive, safe and healthy food production practices or to explore options for growing fruit and controlling fruit fly without chemicals. The status quo continued.

Now, 15 years on, as the phasing out of certain uses of these chemicals begins, the government and industry, claiming that the fenthion and dimethoate were necessary for “cost-effective” market access, are urgently pushing for another dubious post-harvest decontamination treatment to be used in their place: food irradiation.

The phase out of toxic chemicals should be a cause to celebrate – and lauded as a chance to review and improve food production practices. As it is, however, we are being offered a false choice, the swapping of one toxic industry for another dangerous one.

Chemicals versus irradiation. A no-win situation for consumers.

In 2010, the combined industry and government task force mandated with responding to the review of the uses of fenthion and dimethoate, announced work on proposals for 18 additional fruit and vegetable irradiation approvals. ii At the time, however, as part of a working plan, these were not announced to the public. While the phasing out of chemicals has had some mention in the media, the proposed use of irradiation in their place has not. With the government playing a key role in the process which proposed irradiation as the chosen “alternative” to these chemicals and also being the approver for all irradiation approvals, it is difficult to see where public opinion or consultation can have any sway.
The silence on the issue is probably more the point. Both industry and the government know that irradiation is highly unpopular with consumers and that, if given an option, many will find a problem with the “choice” we are being offered. As I write, one of Canada’s largest ever food recalls is taking place: E coli contaminated beef. An immediate push to promote irradiation as a solution is being met by cynicism of the public. An overwhelming majority of those commenting to the article on the Canadian Broadcasting Corporation website are opposed and see this as a false solution. iii In Australia, when food irradiation applications have been open for public comment, an overwhelming majority of respondents have been opposed.

And public concern is well-founded.

Irradiation is the process of exposing products to radiation, generally for sterilisation purposes. Globally, many food products have been approved for irradiation; for the most part, however, irradiation has remained a little-used process, due largely to consumer scepticism.

Numerous scientific reports have highlighted health risks associated with irradiation. Irradiation changes the molecular structure of food, forming toxic chemicals linked to genetic mutations, vitamin deficiency, immune system disorders, tumours, stunted growth and reproduction problems. iv
We applaud the restricting of use of fenthion and dimethoate. However, we question the logic of replacing one hazardous technology with another. The issue has become critical now, as the first of the newly proposed irradiation applications is underway…

Irradiated Tomatoes and Capsicums

Over the last two years, a virtually invisible campaign has been waged to increase the amount of food irradiated in Australia – and to remove the labelling of irradiated food.

In 2010, the Qld Department of Primary Industries applied for the approval to irradiate persimmons. A seemingly innocuous proposal, as persimmons are not widely eaten in Australia. During the processing of the application, however, Food Standards Australia New Zealand (FSANZ), the bi-national body mandated to regulate our food industry, inserted changes to labelling and record-keeping of irradiated foods.

FSANZ’s inserted amendments signalled a “review” of mandatory labelling of irradiated food, suggesting a removal of all mandatory labelling requirements.

Alarms bells went off and a legal challenge was launched as to whether FSANZ had followed due process. The Federal Court heard the matter in November 2011 – A ruling has only just been handed down. On October 19, 2012, the Court found both that FSANZ’s actions were misleading, but they were legal. v

In the meantime, as part of the government review in to pesticide use in Australia, some uses of the organophosphates dimethoate and fenthion were earmarked for phasing out. Promoting irradiation as the alternative to these chemicals and proposing up to 18 vi new fruit and vegetable approvals, the review led to the finalising of interstate trade protocols for the use of irradiation on the Australian domestic market.

According to Qld Biosecurity, “Research projects [for irradiation] have been completed on: Tomato, capsicum, zucchini , honey dew melon, rockmelon , nectarine, strawberry, cherry, apricot , plum, peach, table grape, [and] and apple”.vii More are on the cards.

A1069

On Sept 26, 2012, Food Standards Australia New Zealand (FSANZ) announced the opening of the public consultation period for Application A1069, an application made by the Queensland government for approval to irradiate tomatoes and capsicums. The public was given four weeks to respond.

To date, herbs, spices, herbal infusions and nine tropical fruits have been approved for irradiation in Australia. Pet food, medicinal goods and seeds and grains for animal consumption may also be irradiated, though as not legally classified as “food” under Australian law, they fall under different regulations and require no labelling.

While acknowledging that irradiation may deplete vitamin and nutritional content, FSANZ has so far justified irradiation approvals on the basis that the approved food make up a minimal part of the Australian and New Zealander diet.

The table is now being turned. Up for approval are foods regularly consumed by the Australian and New Zealand public.

Australians eat tomatoes. Recent surveys have shown that 59% of Australians purchase fresh tomatoes in their weekly shopping viiiand the average Australian consumes an estimated 23kgs of tomato-based products per year. ix

Despite FSANZ’s support and proponents’ claims, irradiation has not been proven safe. In fact, no long term studies of consumption of an irradiated diet have ever been conducted
Between 2008 and 2009, approximately 100 Australian cats developed neurological disorders which led to their paralysis and, in some cases, death. The cause was the consumption of irradiated cat food. These cases are clear evidence that irradiation can have harmful, and possibly not yet understood, impacts on the food quality and on consumer’s health.

The irradiation of cat food is now banned in Australia.

As we write, the US FDA is exploring the possibility that consumption of irradiated food has led to the deaths of 360 dogs and 1 cat and illnesses in 2,200 dogs since 2007.

“These products have been extensively tested by the FDA. Labs have tested for Salmonella, metals, furans, pesticides, antibiotics, mycotoxins, rodenticides, liver toxins such as ethylene and diethylene glycol, melamine, and maleic acid, and toxic metals. None of the testing results have revealed a link between any causative agent and the illnesses and deaths. The FDA is expanding its testing to include irradiation by-products and is consulting with NASA to discuss this option.” x

Exposing food to radiation disrupts its molecular make-up, producing free-radicals and potentially producing commonly known toxic chemicals such as benzene and formaldehyde.
Ionising radiation also creates new chemicals called “radiolytic products”, some of which do not normally occur naturally in food. These have not been adequately studied. One of them, 2-ACBs, has recently been found “to promote the cancer-development process in rats, cause genetic damage in rats and cause genetic and cellular damage in human and rat cells.” x

“Irradiation destroys and disrupts vitamins, proteins, essential fatty acids and other nutrients in food – sometimes significantly. It can destroy up to 80 percent of vitamin A in eggs and 48 percent of beta-carotene in orange juice.” xii

Irradiation produces free radicals in food and has been linked to health problems such as nutritional deficiencies, immune system disorders, and genetic damage.

Another health concern is the risk of irradiation being used to mask poor production practices. Irradiation can kill most bacteria in food, but it does not remove the faeces, urine, pus and vomit that often contaminate meat or the pests, faeces, or other matter that may contaminate herbs, spices, or fruit and vegetables.

In the case of Application A1069, it is suggested that irradiation is necessary to control the spread of fruit fly, in particular Queensland fruit fly, to allow greater trade of food grown in potentially fruit fly infested areas.

Irradiation as a “phytosanitary” measure, in this case irradiating food to control fruit fly, benefits food corporations wishing to transport and trade volumes of food at the expense of the public health. Providing consumers with nutritionally depleted food and putting consumers at risk in order to protect or expand trade markets is unacceptable.

Aware that consumers, see irradiation as a “high risk, low benefit” technology, xiii FSANZ repeatedly legitimises the process by stating that a technological “purpose” xiv for irradiating has been established. While, indeed, a “purpose” – to aid in the control of fruit fly – has been established in this proposal, a technological “need” for irradiating has not.
Irradiation to control bugs.

Irradiation is not a “clean” alternative to chemicals. Irradiation for “phytosanitary control” is actually a prime example of the use of irradiation in lieu of healthy and environmentally sustainable production practices.

In 1986, Queensland DPI produced research promoting the post-harvest use of dimethoate and fenthion for controlling fruit fly on tomatoes. The research states “the insecticides dimethoate and fenthion as high volume spray (flood) treatments can disinfect tomatoes postharvest with levels of security similar to ethylene dibromide for other fruits, but with the added advantage of handling efficiency ad without phytotoxic or tainting effects.” xv

35 years on, this research has proven faulty. AVAMPA are withdrawing this use of these chemicals because they are harmful to human health. Queensland is Australia’s largest producer of fresh tomatoes and the pressure is on to maintain its markets. (VIC produces the most tomatoes for processing.) The Qld government is now presenting its own, new, unpublished research to secure approvals to irradiate tomatoes in lieu of these chemicals.

Once again, the Queensland government is getting it wrong.

Meat is irradiated in the USA

First of all, irradiation will not be used as a substitute for chemical use in food production, but will be used in conjunction with chemicals by those producers who choose to use those technologies. The chemical uses that are under question are “post-harvest” uses, not all uses. Irradiation is a “post-harvest” “treatment”. Unless a serious review of all chemical uses is conducted, or fruit and vegetables are organically grown, one can expect that fruit and vegetables irradiated after picking will have been have been grown with chemicals or other “technology”.

There is no technological need for irradiation to replace these chemicals. The fact that Australia was the only country permitting dimethoate to be used for post-harvest pest control tells us that all other markets have found other options.xvi Indeed, the task force phasing out this chemical has provided growers numerous chemical alternates to dimethoate and fenthion. Of course, non-chemical alternatives, such as organic production exist.

Finally, there is simply no need for irradiation. There are numerous alternatives to irradiation.

New Zealand quarantine will already accept Australian tomatoes if they are grown in pest-free zones, which are already feasible in most states.
While treatments may vary according to desired outcome, some of the alternatives currently in use include:

• Cold storage
• Cold treatment
• Heat/steam, vapour treatment
• Hot water dips
• Atmospheric control with oxygen, carbon dioxide or nitrogen
• Physical disinfestation, i.e. cleaning, washing
• Hygienic and safe production practices
• Pest exclusion zones
• Early harvesting
• Organic production

With numerous chemical-free and irradiation-free options for the production of food, which pose little or no health risk to the consumer, the use of irradiation as a phytosanitary measure – to protect markets –is inexcusable.

Market access – half the story

While promoted as a “tool” to protect or broaden Australian markets, irradiation is more likely to see the further destruction of local producers, with potentially devastating impact on small producers, family farms, local horticulture and agriculture and organic and alternative food production.

Irradiation is a tool of large agri-business. Approvals in Australia will not benefit Australian farmers in the long term, as any approval will also facilitate the importation of the approved irradiated foods from overseas markets, where food can typically be produced more cheaply. Imports are already playing a key role in the demise of Australia’s tomato – a fruit now proposed for irradiation.

Tomatoes are a perfect case in point. Since 2007, tomato imports have reportedly increased 40%xvii, due to poor production levels in Australia, the rising price of the Australian dollar, higher labour costs in Australia, and a legal challenge upholding market access due to international trade agreements. xviii As it stands, only 2 out of 10 cans of tomatoes sold in Australia are locally made. xix

Irradiation, therefore, will not provide the solution to what is causing the market’s demise: market saturation and competition created by large food corporations and supermarket chains.

In a move to increase output and lower production costs, Australia is already seeing its tomato industry move to large hot house style production, which has brought devastating impacts to smaller growers – closing Queensland (and therefore Australia’s) largest tomato producer, SP Exports.

Ironically, in this case, for the consumer, there is a potential silver lining to this move. Hot houses are just one example of an infrastructure that could be put in place that eliminates or lowers the probability of fruit fly infestation in crops. If seized upon, moving to this type of production could see hot houses used as pest exclusion zones – or pest free areas- eliminating the need for other fruit fly control such as pesticides or irradiation altogether.

In the long term, it would be in the Australian farmer’s interest to take this opportunity to use alternatives to chemicals and reject irradiation at the same time. If public perception alone is not enough to deter producers from this technology, the threat of increased competition from cheaply produced irradiated imports should.

Proponents suggest that the consumer should decide.

Choice?

Unfortunately for the consumer, the government has also signalled its intention to review and remove mandatory labelling of irradiated foods. So far irradiation approvals in Australia and New Zealand have been marketed as offering consumers greater food options. However, the reality is that most of what is currently irradiated is not labelled, what is labelled is labelled poorly and the government is now using false logic to push for a removal of all labelling.

In 2011, the Blewitt Review of food labelling in Australia suggested that as irradiation was not a new technology, irradiated food no longer required labelling. Claiming that irradiated food had been on the market for over 30 years and that irradiated food is safe, the Review questioned the need for labelling. The federal government, taking this on board has indicated that it will request FSANZ review labelling requirements within the next two years.xx

The rationale is based on intentionally perpetuated marketing myths about irradiation and is truly disingenuous when looking at the Australian and New Zealand situation.

Consumer surveying conducted for FSANZ , as well as reports FSANZ has reviewed, have repeatedly found that irradiation is a little known process. The use of technology that is unfamiliar to the public is normally a rationale to label the process.

While irradiation technology has been under development since the early days of the nuclear age, irradiated food has not been on the market in Australia for 30 years. In fact, a huge consumer campaign against irradiation in the 1980s saw a 10-year moratorium placed on food irradiation.

The moratorium was lifted in 1999, with little public awareness. Australia and New Zealand’s first approval, for herbs, spices and herbal infusions was in 2001, with approvals for nine tropical fruits in 2003. However, outside a small amount of irradiated Australian mangoes and lychees on the New Zealand market, irradiated food has hardly found its way on to the Australian or New Zealand market.

Interstate trade protocols for the sale of irradiated fruit on the Australian domestic market were only finalised this year, in 2012.

These facts make it clear that irradiated food has not been widely available to the Australian or the New Zealand public. Any suggestion that irradiated food has wide acceptance with the Australian and New Zealand public is unfounded. Any claim that Australians and New Zealanders have 30 years of safe consumption of irradiated food is completely untrue.

As stated earlier, any claim that there are 30 years of safe consumption of irradiated food anywhere can also not be scientifically verified as no long-term research on the consumption of irradiated food have been completed. The claim that irradiated food has been proven safe is a marketing statement, not a fact.

It is disappointing that the government and irradiation proponents are simultaneously pushing to expand the irradiated food industry and remove labelling of irradiated food.

Though irradiation has a longer history in other countries, international food regulations require that irradiated food be labelled. Our English-speaking trading partners, the USA, UK and Canada all have more stringent guidelines than currently are in place in Australia. Australian and New Zealand labelling regulations should be made to equal or better than our partners. Any weakening of the current regulations would be a cynical attempt to push through unwanted, unknown technology while denying the consumer the right to choose.

Whose science?

The ‘science’ being relied upon is not independent of the industry

Australians and New Zealanders expect our food regulator to be scrupulous, stringent and non-biased in their assessment of food matters. It is clear from research that the public have faith in the government to be looking after public interest.xxi It would be expected that FSANZ adhere to internationally recognised standards of peer-review for science it relies upon when making decisions and present relevant science with honesty and integrity.

Unfortunately this case, FSANZ has let the public down by allowing its assessment to be based on biased materials and by presenting existing science with a pro-irradiation bias.
A1069 and the FSANZ assessment of it are based on primary, unpublished research conducted by the applicant itself, Qld DEEDI. Both the applicant, the Queensland government, and FSANZ claim the existing literature on the irradiation of tomatoes and capsicums to have “limited”xxii value or relevance and emphasise that this primary, unpublished research was conducted in conditions similar to what they expect would be take place when tomatoes and capsicums are irradiated here in Australia. The fact that these are “our” conditions seems to be the lynch pin for their argument as to why they do not need to have their research peer reviewed or tested by an independent agent.

It is hard to believe that FSANZ would accept unpublished, untested, therefore uncorroborated, science as a basis for argument, as key decision-making material if it was presented by an opponent of irradiation. As the regulator, FSANZ is mandated to ensure best practice in policy relating to and production of our food. In this light, we expect that FSANZ will withhold use or judgment on this application until the science presented by the proponent has gone through the rigour of normal academic or scientific scrutiny.

FSANZ’s failure to assess this application without bias is clear from the pro-irradiation slant given to science presented in its risk assessment. The summary of FSANZ’s risk assessment of this application begins with a highly flawed dot point justification for FSANZ’s proposed approval. None of the scientific claims in this first page summary are footnoted or referenced.

Here are some responses to their opening claims:

Claim: “There are no public health and safety risks associated with the consumption of tomatoes and capsicums which have been irradiated up to a maximum does of 1kGy.” xxiii
Stating that there are no risks is simply not provable, in particular as no long-term studies have been conducted.

Following are the points upon which this conclusion is claimed to be based and some response to those points:
  • Claim # 1: “Compounds potentially formed during food irradiation, such as 2-alkylcyclobutanones (2-ACBs), are found naturally in non-irradiated food.” xxiv
  • Response: To date, one study produced by the Bhabha Atomic Research Centre part of the Government of India – Department of Atomic Energy has indicated that 2-ACBs were found in non-irradiated cashews and nutmeg. This research has not been duplicated. After conducting an extensive irradiation literature review, in 2011 the European Food Safety Authority states: “As no further evidence of the natural occurrence of 2-alkylcyclobutanones (2-ACBs) has yet been reported, it would be pertinent to treat these findings with some caution until the results are validated by further experimental work.” xxv Whether or not these chemicals are unique to irradiation or naturally formed, they have been linked to cellular damage. Many naturally occurring substances, such as uranium, asbestos or even carbon dioxide, can be harmful.
  • Claim # 2: “There is a low potential to generate 2-ACBs because of the low lipid content of capsicums and tomatoes.” xxvi
  • Response: This claim seems to suggest that in fact despite an attempt to downplay the issue in claim #1, 2-ACBs may actually be of concern. The fact is that some geno toxicity of cyclobutanones has been established, though interpretations of the potential impact of this are varied. Since no in vivo genotoxicity studies are available the hazard has not been ruled out – though the hazard is considered minimal or unlikely. Furthermore, 2-ACBs are not the only potentially harmful chemicals produced by irradiation, as claim # 3 affirms.
  • Claim # 3: “Furan, a genotoxic carcinogen, was not detected (Limit of Quantitation = 1 ppb) in tomatoes and capsicums irradiated at 5 kGy.” xxvii
  • Response: This claim suggests an acceptance that the genotoxic carcinogen, furan, can be produced through exposure to radiation. The fact that it was not found at the dose presented – in research presented by the proponent – does not negate the fact that it is a dangerous product that can be found in irradiated foods. Furthermore, genotoxicity is only one aspect of toxicity and therefore one aspect of an assessment around the risks associated with food irradiation. Effects on processes such as gene expression and immunogenicity must also be assessed for this report to be comprehensive. It is important to note that the neurological damage to cats in Australia between 2008-2009 was apparently neither genotoxic nor immunogenic and indeed was unexpected given the then available data from in vivo experimentation in other species, calling into question what other as yet unknown effects might become evident if irradiation were to be extended to further varieties of foodstuffs or species of fruit/vegetables.
  • Claim #4: Available data indicate that the carbohydrate, fat, protein and mineral content of foods are unaffected by irradiation at doses up to 1kGy.xxviii
  • Claim #5: Difference in vitamin concentrations between irradiated and non-irradiated fruit are within the range of the vitamin losses that normally occur during the storage of non-irradiated fruit.xxix
  • Claim #6: Other food processing techniques have been demonstrated to have a larger impact of the vitamin content of fruits and vegetables than irradiation. xxx
  • Claim # 7: Nevertheless, even assuming an upper estimate of vitamin A and C loss of 15% following irradiation from all fresh tomatoes, capsicums and tropical fruits (with existing irradiation permissions), estimated mean dietary intake of these vitamins would decrease by 2% or less and remain above Estimated Average Requirement following irradiation at does up to 1 kGy, with dietary intake typically derived from a wide range of foods.xxxi
  • Responses 4-7: Claims 4-7 all rely on the unpublished, unverified scientific report prepared by the applicant. Their expression is an acknowledgment that irradiation does deplete the vitamin and nutritional value of food. It must be pointed out that irradiation will be used in conjunction with other food handling or processing techniques – not as a substitute for them. Irradiated food will still be placed in cold storage, cooked and processed in manners that further deplete their nutritional value. As irradiation is primarily used for shelf-life extension, irradiated fruit may be potentially be stored longer and, therefore, have greater nutrient loss than non-irradiated fruit. Compared to surface treatments that could be used for pest disinfestation, such as some chemicals and washing, irradiation depletes the vitamin and nutritional content of tomatoes and capsicums. Adding irradiation to the chain of food handling events, adds one more step toward nutritional depletion of our food.
  • Furthermore, while this application is made for tomatoes and capsicums only, both the Queensland government, the applicant, and the federal governments including FSANZ are aware of, indeed participating in, preparations for numerous other fruit and vegetable applications as part of the current chemical phase out. Therefore, while legally accurate, it is cynical of them to assess the nutritional impacts including only the current irradiation approvals in their calculations. One by one processing of the applications allows proponents to avoid a bigger picture overview or a long term complete dietary assessment.
  • Claim #8: The safety of irradiated food has been extensively assessed by national regulators and international scientific bodies.xxxii
  • Response: This claim is irrefutable as it neither claims irradiated food to be safe nor unsafe. It is true that the safety of irradiated food has been extensively assessed. It is also true that numerous reports claim it to be unsafe. The science around irradiation is, at best, divided in its opinion on the safety of irradiated foods. The European Food Safety Authority has called for further investigation in to the Australian cat food saga.
  • “Considering that only a very limited quantity of food is irradiated in Europe currently, the Panel is of the view that there is not an immediate cause for concern. However, the relevance of the cats studies for human health should be clarified.”xxxiii
  • “Information on the cause and pathogenesis in cats should be collected, including data on the relationship between irradiation dose, composition of feed, the amount of consumed irradiated feed and the elicitation of the leukoencephalomyelopathy. In absence of this understanding, the relevance for humans cannot be ruled out.”xxxiv
  • Claim #9: There is a history of safe consumption of irradiated food in many countries.xxxv
  • Response: Once again, this scientifically indefensible statement is a marketing line, not a fact. New research and real-life experience in Australia suggests that irradiation can have serious health impacts. The precautionary principle should, therefore, apply. No long term studies around human consumption of irradiated foods have been conducted and a clear health impact has been demonstrated on cats in Australia. The onus should be on the irradiation industry to prove food irradiation safe. Until such a time, the irradiation of food for both human and animal consumption should be banned.
Putting our money where our mouths are.

Consumers have the right to access affordable food that is healthy, nourishing and safe. We should not have to choose between potentially toxic food production practices and we should be able to expect that food is produced with our interest at heart. Irradiation and/or the pesticides currently being phased out may provide financially cost effective production practices for market access, yet in doing so, they put our health and long term food security at risk. For the consumer, the costs of both the chemicals in question and irradiation far outweigh the benefits.

A1069 – the application for the irradiation of tomatoes and capsicums must be rejected.

Public submissions on A1069 – Application to Irradiate Tomatoes and Capsicums – are due by 6pm (Canberra time) on November 7, 2012.
Let the government know that you will refuse to accept irradiated tomatoes. Email Food Standards Australia New Zealand, referencing A1069 on:
submissions@foodstandards.gov.au

Relevant documents can be found:
www.foodstandards.gov.au/foodstandards/applications/applicationa1069irra5511.cfm

Together we can keep irradiated food off our tables.

Food Irradiation Watch is a not-for-profit consumer advocacy organisation aimed at raising awareness about food irradiation. We are an affiliate of Friends of the Earth Australia. We oppose the irradiation of food and work to ensure the consumer’s right to choose to avoid irradiated foods, pet foods and therapeutic goods.
For more information:
Food Irradiation Watch
Mbl: 0411 118 737
Em: foodirradiationwatch@yahoo.com.au
www.foodirradiationwatch.org

Written by:
Robin Taubenfeld
Food Irradiation Watch
October 25, 2012

Say NO! to Irradiated Tomatoes and Capsicums! Reject A1068

tomatoA1069 – the application for the irradiation of tomatoes and capsicums must be rejected.

Public submissions on A1069 – Application to Irradiate Tomatoes and Capsicums – are due by 6pm (Canberra time) on November 7, 2012.

Let the government know that you will refuse to accept irradiated tomatoes.
A sample letter is attached! Just cut and paste…or write your own! Don’t forget to include A1069 in the title of your letter/submission!
Email Food Standards Australia New Zealand, referencing A1069 on:submissions@foodstandards.gov.au
More info is available on our website: www.foodirradiationwatch.org
Together we can keep irradiated food off our tables.
To: Food Standards Australia New Zealand
CC: your state & federal MP
RE: Application A1069 for the Irradiation of Tomatoes and Capsicums
I oppose the irradiation of tomatoes and capsicums. I, therefore, call on you to ensure that Application A1069 for the irradiation of tomatoes and capsicums is rejected.
The Queensland Government has made an Application to Food Standards Australia New Zealand (FSANZ) to irradiate tomatoes and capsicums. Irradiation is being presented as an “alternative” to certain pesticides, which are being phased out due to their potentially harmful residues. Irradiation, however, has not been proven safe. The public is being offered a false choice. Numerous scientific studies have shown the potential health risks posed by irradiated food. And numerous chemical-free alternatives exist. I choose my food both pesticide and irradiation-free.
Tomatoes are part of our everyday diet. I understand that there are further plans to seek approval to irradiate up to 16 more fruit and vegetables, including zucchinis , honey dew melons, rockmelons , nectarines, strawberries, cherries, apricots , plum, peaches, table grapes, and apples. These foods are regularly consumed by the Australian and New Zealand public and these proposals will have a significant impact on my diet.
Here are some of my concerns about irradiated tomatoes and capsicums:
· Irradiation has been shown to deplete vitamin C, vitamin A, proteins, essential fatty acids and other nutrients in food.
· Irradiation produces free radicals in food and has been linked to health problems such as nutritional deficiencies, immune system disorders, and genetic damage.
· In 2008 and 2009 one hundred Australian cats developed neurological disorders leading to paralysis, some died, because of the consumption of irradiated cat food. The public outcry led to the banning of irradiated cat food in Australia. At the time of this writing, in 2012, irradiated pet food is being investigated as the potential cause of death and illness in dogs, suggesting that the problem may not be species specific as previously claimed. The risk to humans cannot be ruled out.
· I am not confident that it will be labelled. Labelling of irradiated foods in Australia and New Zealand is also under threat. The government has proposed a review of mandatory labelling with the aim of removing labelling requirements. . All irradiated food should be individually labelled “treated with radiation” or “irradiated — “
I call on you to reject A1069 as it is not in the public interest: neither the health and safety of irradiating tomatoes and capsicums nor the assurance the consumers will have choice through labelling has been demonstrated and these cannot be guaranteed.
I look forward to your response regarding these matters and to working with you to keep our food nutritious, healthy and safe for all Australians and New Zealanders.
Thank you
Name & Date:
Address:

Australian Company Caught Selling Unlabelled Irradiated Products

spicesAn Australian company busted for not labelling irradiated spices!

Thanks to Western Australian Greens Senator Scott Ludlam and his trusty crew.

Senator Ludlam asked:
What are the irradiation labelling requirements for imported food? For example, where a box containing individual packets of meat curry premix for wholesale sale is labelled as irradiated, but the individual packets are not labelled.
Answer:
Standard 1.5.3 – Irradiation of Food in the Australia New Zealand Food Standards Code (the Code) requires that a package of irradiated food must include a statement to the effect that the irradiated food has been treated with ionising radiation. This requirement applies to the labels of individual product packs that originate from a wholesale package which itself was labelled as irradiated. Standard 1.5.3 applies equally to domestically produced and imported foods.
In the case of the meat curry premix package example, Food Standards Australia New Zealand (FSANZ) referred this issue to the relevant state enforcement agency which is following the matter up with the food business concerned.
The relevant food enforcement agency (Victoria Department of Health) has followed up on this issue and the importer is implementing corrective action to bring the product into compliance with the Code i.e. relabelling of the product. FSANZ understands that the product will not be distributed further until this is done.

http://scott-ludlam.greensmps.org.au/content/transcript/food-irradiation-standards-australia

Court Challenge to Persimmon Proposal Sees Injunction

PersimmonsFood Irradiation Watch supports Gene-Ethics and the Safe Food Institute in their Federal Court challenge to Food Standards Australia New

Zealand’s (FSANZ) processing of Application A1038. Yesterday thecourt placed an injunction on the irradiation of persimmons.

The Bi-National food authority failed to clearly notify the public of its own insertions of major changes to laws surrounding the labelling and documenting of irradiated food within the Application – which was originally published as an application for approval to irradiate persimmons – submitted by the Qld Department of Primary Industries.

Our concerns about this Application are twofold. We question both the safety of irradiated food as well as the legitimacy of the processing of this Application.

Irradiation is the process of exposing food to high energy – ionising – radiation – which changes its molecular structure and causes new chemicals to be formed.

Irradiated food has not been proven safe. No studies of the long term impact of consuming an irradiated diet have been conducted. However, recent Australian experience has seen up to 100 cats develop neurological disorders from consuming irradiated cat food. The irradiation of cat food is now prohibited in Australia. We are greatly concerned about Australia’s push to expand the use of this unnecessary technology on food for humans and other animals.

Furthermore, the Food Standard’s insertion of its own proposed changes to food regulations was highly inappropriate and calls in to question the entire food regulatory regime. We believe that FSANZ should have made a separate Application to review and call for public comment on the major changes it proposed. At the very least, we would expect FSANZ to clearly notify the public about its additions to the Application. No where in the title of the Application, nor in the online Fact Sheet, nor even in the Risk Assessment of the Application are FSANZ’s proposed changes mentioned or they impacts assessed. Finally, we are alarmed by the fact that the Food Regulatory Ministerial Council did nothing to block this Application despite having been made aware of these flaws.

FSANZ has indicated that this is not the first time that it has inserted its own regulatory changes in to another specific Application without public notification. This is not acceptable.

We expect that the Federal Court will agree that Food Standards Australia New Zealand has acted unlawfully in this matter and block the approval of application A1038.

We invite the public to join us in letting FSANZ and our politicians know that the public interest must prevail.

Food irradiation presents a public health risk. We, therefore, call for an immediate ban on irradiated food for both human and animal consumption.

Furtermore, we demand that truth, transparency and public benefit be the driving forces in decisions and processes surrounding our food.

Gene Ethics Media Release – Monday November 14, 2011
FSANZ sued for secrecy on food irradiation law review

Gene Ethics Director Bob Phelps

 

Melbourne 14/11/11: Gene Ethics and the Safe Food Institute vs Food Standards Australia NZ (FSANZ) will be heard before Justice Kenny in the Federal Magistrates Court in Melbourne at 10.15am today –

Monday Nov 14, 2011. The applicants claim FSANZ failed to comply with the law that requires it to give complete and clear public notice.

“We say FSANZ broke the law by inserting a general review of Irradiated Food Standard 1.5.3, without public notice, into a Queensland Government application only to irradiate persimmons (proposal A1038),” says Gene Ethics Director Bob Phelps.

“In our view, FSANZ should at the very least have mentioned the general review in the title of the amended application and in related documents and reports, but it didn’t.
“Ideally, FSANZ would have separately published its proposed general review of the food irradiation standard and told the public of their right to comment.

“FSANZ refused our request for both applications to be re-advertised and re-assessed separately so we had no option but to seek a remedy through the courts.

“This is a public interest case as the general review of Food Irradiation law would weaken irradiated food labelling and record-keeping requirements.

“We consider this an important case as FSANZ admits it had also buried its own general revisions to Food Standard 1.5.2 on genetically manipulated foods within another specific application. We still do not know the extent of those changes or how they were assessed,” Mr Phelps says.

FSANZ CEO Steve McCutcheon noted Gene Ethics’ concerns that: “the title of the Application, ‘Irradiation of Persimmons’ might be misleading. FSANZ will consider whether it is appropriate or practical to change procedures for identifying applications in order to provide additional information about an application that has an extended purpose.”

FSANZ Final Approval document also said: “… the NZ Ministry of Agriculture and Forestry suggested that for transparency, the amendments should be communicated in the title of the consultation to indicate to stakeholders the additional reforms proposed to the Standard in Application A1038.” P20. “We wholeheartedly agree.”

And belatedly the Approval says: “FSANZ has amended the description of the Application in the Work Plan and for any future references to the description/purpose of this Application.” P21
“We seek a judgement from the court that requires FSANZ to give full and fair public notice of all future applications,” Phelps says.

Safe Food Institute Director, Scott Kinnear says, “From our perspective, this does not go far enough and we challenge FSANZ to reprocess the applications separately. Some scientific evidence suggests that irradiated food may be harmful. Meticulous record-keeping and honest labels are essential to ensuring any public health impacts are detected.

“Yet we missed out on making a submission because the general review of Standard 1.5.3 was hidden behind persimmons.

“We did not know because FSANZ failed to tell us of proposed general changes to Standard 1.5.3 in its media release, notice to subscribers, Administrative and Risk Assessment Reports, FSANZ News and Notification Circulars and in the Fact Sheet. We think FSANZ omissions amounted to misleading and deceptive conduct.

“It will be a big win for the public interest if the court decides that FSANZ must always give separate, full and clear notice of future applications for general amendments to the Food Standard,” Mr Kinnear concludes.

http://www.geneethics.org/

To read the food standards proposal go here: http://www.foodstandards.gov.au/foodstandards/applications/applicationa1038irra4655.cfm

GeneEthics Challenges Food Irradiation Standards in Federal Court

Gene Ethics started proceedings in court challenging Food Standards Australia over thier failure to give public notice of an attempted change to food labelling and lack of public notice of changes to a proposal for the irradiation of persimmons. The case highlights the lack of scrutiny being given food approvals, and irradiation in particular.Below is their Media Release – Friday September 16, 2011

FSANZ sued for failure to give public notice

In Gene Ethics and the Safe Food Institute vs Food Standards Australia NZ (FSANZ), the applicants filed a writ in the federal court in Melbourne today. The court issued directions today for a trial on November 14 2011 where the applicants will claim that FSANZ did not comply with the law which required it to give proper public notice of its application for a general review of irradiation food standard 1.5.3.
“We believe FSANZ hid its review, that weakens irradiated food labelling and record-keeping, within a Queensland Government application to irradiate persimmons (A1038),” says Gene Ethics Director Bob Phelps. “In our view, FSANZ should have published its proposed general review of food irradiation standard 1.5.3, separate from the irradiation of persimmons and advised the public accordingly.
In a letter to Gene Ethics, FSANZ CEO Steve McCutcheon wrote: “I note your concern that the title of the Application, ‘Irradiation of Persimmons’ might be misleading. FSANZ will consider whether it is appropriate or practical to change procedures for identifying applications in order to provide additional information about an application that has an extended purpose.”
“We consider that this is not a trivial matter as FSANZ also now admits that it had previously made its own general revisions to Food Standard 1.5.2 on genetically manipulated foods, within an application made for narrow and specific changes to the GM code,” Mr Phelps says.
FSANZ also reports in its Final Approval of the application that: “… the NZ Ministry of Agriculture and Forestry suggested that for transparency, the amendments should be communicated in the title of the consultation to indicate to stakeholders the additional reforms proposed to the Standard in Application A1038.” P20
Now, belatedly: “FSANZ has amended the description of the Application in the Work Plan and for any future references to the description/purpose of this Application.” P21 We say that this does not go far enough and we challenge FSANZ to reprocess the applications separately.
“We missed out on making a submission on changes to the irradiation standard and say that FSANZ should have advertised its proposal separately,” says the Safe Food Institute Director, Scott Kinnear.
“Standard 1.5 covers novel foods that have little history of safe use in the human food supply and we are not satisfied that FSANZ uses rigorous science or the precautionary principle in its safety assessments.
“We will argue that the general public were not properly notified of the real import of proposal A1038 and were misled. It’s our view that FSANZ failed to comply with the law by incorrectly labelling the application. We think their omissions amounted to misleading and deceptive conduct.
“We di not know because FSANZ failed to mention the general changes to Standard 1.5.3 that it proposed to make, in its media release, notice to subscribers, Administrative and Risk Assessment Reports, FSANZ News and Notification Circulars and in the Fact Sheet, still on its website.
“It would be a useful win for the public interest if FSANZ agrees that all future applications for general amendments to the Food Standard always give separate, full and proper notice,” Mr Kinnear concludes.
For interviews: Vivienne Reiner, Source Communications 0432 352 132 A1038 docs at:
http://www.foodstandards.gov.au/foodstandards/applications/applicationa1038irra4655.cfm

FI Watch Calls on Food Standards to Reject Further Irradiation Approvals, Retain Labelling Provisions

protest5smWe are calling on Food Standards Australia New Zealand (FSANZ) to halt all further approvals of food irradiation and retain and strenghen the obligation on producers to label irradiated products. We are calling on our supporters to write to their local members and health ministers ask for the same. Consumers don’t want to eat irradiated food and current labelling requirements are inadequate.

Below is the text of our letter outling the reasons that FSANZ should halt food irradiation approvals. You can find your state health minster’s details here Ministerial Council details

Dear Member of Parliament,

We are writing with great concern regarding the current push to both expand food irradiation in Australia and New Zealand and at the same time weaken labelling requirements for irradiated foods.

As an elected official, we call on you to urge your state’s representatives, as well as federal MPs, on the Ministerial Council to review and reject Application A1038 for the Irradiation of Persimmons.

On July 6, FSANZ announced its intention to approve Application A1038 for the irradiation of persimmons. The Application has now been handed over to the Ministerial Council for consideration. The Council has 60 days to call for action on the matter or the Application will be passed automatically in to law.

Despite being titled “Application A1038 for the Irradiation of Persimmons”, proposed within this Application were a series of major changes to labelling regulations which were not part of the original Application. The public was severely disadvantaged in its ability to respond to these proposals as neither the title nor the “fact sheet” on FSANZ’s website indicated that such regulatory changes were being considered.

For this and many other reasons, FSANZ’s approval is highly flawed and must be stopped. Irradiated food has not been proven safe. Major changes to food labelling regulations should entail an application to amend the Standard, involve rigorous public consultation, and should be processed separately to other matters.

While FSANZ has not approved all of the labelling changes proposed, its approval leaves Australia and New Zealand in a situation in which the labelling requirements for irradiated food are unclear and are not in line with international standards.

The Ministerial Council should:

  • Immediately reject all changes to food labelling regulations included in this Application and require FSANZ to initiate a separate and formal round of investigation and public consultation regarding changes to food labelling regulations if an application to do so has been received.

and

  • Reject the Application as the public health and safety of irradiating persimmons has not been adequately demonstrated and cannot be guaranteed.

Persimmons should not be irradiated. Despite industry claims, food irradiation has not been proven safe. Irradiation is known to deplete vitamin and nutritional content of food and to create “radiolytic” products, such as benzene, peroxides and cyclobutanones.

Between 2008-2009, up to 100 Australian cats developed neurological disorders linked to eating irradiated cat food. The irradiation of cat food is now banned in Australia – but the government is considering expanding the list of approved irradiated foods for humans. While irradiation has been accepted as the root of the problem, the exact cause of the disorder has not yet been pinpointed. Until the cause has been identified, a risk to humans and other animals can not be ruled out. FSANZ can not guarantee the safety of irradiated foods. We believe that the ban on the irradiation of cat food should be extended to all food for human and animal consumption.

FSANZ’s approval is a failure of duty of care to the public and food producers at home and overseas.

Claims that Australia has a safe track record with irradiated food are misleading. FSANZ states that there have been no health consequences associated with the consumption of foods already approved for irradiation in Australia and New Zealand. This is disingenuous, as few of these products are yet on the market in Australia and New Zealand meaning that Australians and New Zealanders do not have a yet have an assessable history of consuming irradiated foods. While no research is presented, or as far as we know available, regarding the safety of Australian and New Zealanders consuming irradiated foods, research and evidence is available regarding the sickness in Australian cats and problems with horses in Australia after eating feed irradiated for quarantine purposes.

FSANZ’s disregard for the potential cumulative impact of consuming an irradiated diet, is highlighted by the fact that FSANZ claims that vitamin and nutritional depletion of irradiated persimmons is insignificant as persimmons make up only a small percentage of the Australian and New Zealand diet. With herbs, spices, and some tropical fruits already approved in Australia and New Zealand, and other irradiation applications already in the pipelines, it is highly irresponsible for FSANZ to make irradiation approvals in isolation. The claim that irradiated foods have been safely consumed for many years is a promotional statement – and not a scientific fact. No long term studies on the consumption of an irradiated diet have been conducted – anywhere.

FSANZ’s approval also fails both Australian producers and overseas consumers. Most of the irradiated persimmons will be for international trade – to countries where persimmons are more commonly eaten. In acknowledging the vitamin and nutritional depletion of irradiated persimmons, FSANZ states that it is beyond its scope of responsibility to make dietary or health risk assessment regarding overseas markets. While claiming that the irradiation approval is a “trade-enabling” act, FSANZ takes no duty of care for the potential health impacts on Australia and New Zealand’s trading partners.

Furthermore, as “trade enabling” acts, this approval and all irradiation approvals have the potential to be detrimental to Australia and New Zealand farmers. While approvals may facilitate export of Australian products to some countries, they also facilitate the importation of irradiated produce from overseas. The case of persimmons is of note as the claim is that irradiation will allow export to SE Asian markets. The largest producer and consumer of persimmons is China. China and other SE Asian nations have the potential to produce persimmons on much greater scale and much more cheaply that Australia and New Zealand. China and SE Asia also do not require irradiation as a trade protocol. However, allowing the irradiation of persimmons will see those markets able to export cheaply produced irradiated persimmons to Australia and New Zealand – and refusing entry would then be seen as a barrier to trade. The cost of flooding of Australian and New Zealand markets with cheap irradiated imports would be far great than any potential gain from expanding exports.

Finally, there is no technological justification for the irradiation of persimmons as no market currently requires persimmons to be irradiated. There are numerous alternatives to irradiation, even for fruit fly disinfestation. Australia should, therefore, be upholding its reputation as a producer of quality products by promoting its potential for producing clean and wholesome food – free from the use of irradiation and other harmful technologies.

Problems with labelling:

As mentioned above, promotional material regarding this Application did not clearly state that the Application included an overhaul of labelling regulations; the proposed labelling changes are neither assessed in the Risk Assessment nor is there any indication that the Applicant for the irradiation of persimmons has sought these labelling changes. FSANZ itself has inappropriately added these proposed changes, which are not directly related to the persimmon application. New Zealand’s Ministry of Agriculture and Fisheries has also raised concern about the appropriateness of the proposed labelling changes entailed in this Application in their submission to the proposal (see: http://www.foodsafety.govt.nz/elibrary/industry/irradiation-of-persimmons-assessment.pdf ).

While FSANZ’s approval does not accept all of the proposed changes, the process entailed was highly questionable and severely disadvantaged public participation in the labelling discussion. We are greatly concerned about FSANZ adding additional proposals to applications it is processing – in effect being the proposed and assessor of the proposal.

Labelling changes, such as those proposed, should be presented to the public in their own application to alter the Standard, not couched within another application. We call for a review of this process and ensurance that due process will be followed from here on.

FSANZ’s approval leave labelling requirements unclear and out of line with global standards.

While we applaud the removal of the labelling example “treated with ionizing electrons” and FSANZ’s finding that this may be confusing, we are greatly concerned that no labelling requirements are proscribed for irradiated foods in this approval. The approval, therefore, leaves unclear what irradiation labelling should entail and how labelling is can be enforced.

Irradiated food must be labelled “irradiated” or “treated with irradiation.”

As it is, at least one Australian food manufacturer, Hilde Hemmes Herbals, currently uses the labelling statement “treated with ionizing electrons”. While the example is proposed to be removed from the Standard as potentially misleading, it is unclear as to whether use of this statement, which has been found to be potentially misleading – and scientifically inaccurate – is permitted under the Standard.

To ensure consumer’s right to know by providing understandable and comprehensive labelling, FSANZ must move beyond presenting potential wording of statements to an enforceable proscribed method of labelling irradiated foods.

International food regulations set by Codex Alimnetarius and standards with our major English language counterparts and trading partners proscribe labelling for irradiated foods. Australian labelling laws should adhere to world standards, which generally requires one or more of the following statements:

(a) “treated with radiation”;

(b) “treated by irradiation”; or

(c) “irradiated”

The international food regulatory body Codex Alimentarius, the EU and other English-speaking trading partners all require mandatory labelling of irradiated foods. Below are their guidelines:

 

CODEX ALIMENTARIUS
GENERAL STANDARD FOR THE LABELLING OF PREPACKAGED FOODS(CODEX STAN 1-1985) Adopted 1985. Amended 1991, 1999, 2001, 2003, 2005, 2008 and 2010.

5.2.1 The label of a food which has been treated with ionizing radiation shall carry a written statement indicating that treatment in close proximity to the name of the food. The use of the international food irradiation symbol, as shown below, is optional, but when it is used, it shall be in close proximity to the name of the food.

5.2.2 When an irradiated product is used as an ingredient in another food, this shall be so declared in the list of ingredients.

5.2.3 When a single ingredient product is prepared from a raw material which has been irradiated, the label of the product shall contain a statement indicating the treatment. (26)

GENERAL STANDARD FOR IRRADIATED FOODS CODEX STAN 106-1983, REV.1-2003

7.3 Foods in Bulk Containers

The declaration of the fact of irradiation should be made clear on the relevant shipping documents. In the case of products sold in bulk to the ultimate consumer, the international logo and the words “irradiated” or “treated with ionizing radiation” should appear together with the name of the product on the container in which products are placed.

The European Union:

 

According to Article 6 of Directive 1999/2/EC any irradiated food or any irradiated food ingredient of a compound food must be labelled with the words “irradiated” or “treated with ionising radiation.”

The United States of America:

Since 1986, all irradiated products must carry the international symbol called a radura. This must also be accompanied by the statement: “Treated with irradiation” or “Treated by irradiation.”

The Food and Drug Administration requires that both the logo and statement appear on packaged foods, bulk containers of unpackaged foods, on placards at the point of purchase (for fresh produce), and on invoices for irradiated ingredients and products sold to food processors.

Processors may add information explaining why irradiation is used; for example, “treated with irradiation to inhibit spoilage” or “treated with irradiation instead of chemicals to control insect infestation.”

Canada:

Canadian law requires both the Radura mark and a written statement about irradiation to be on packaged irradiated products. Non-packaged irradiated products must carry both the Radura symbol and written statement to be “displayed immediately next to the food.”

The Radura symbol is required to “appear in close proximity on the principal display panel” or on the sign to one of the following statements or a written statement that has the same meaning:

(a) “treated with radiation”;

(b) “treated by irradiation”; or

(c) “irradiated”

 

Whether or not you support irradiation, we are sure you would agree that labelling is the only mechanism by which the public can exercise their right to choose and that labelling regulations that fall within international guidelines are the only way to protect our local food producers while allowing them to be competitive in the global market.

It is, therefore, not appropriate for the government to process Application A1038 as it is – both an application to approve the irradiation of persimmons and to change labelling laws, in this case leaving lessening labelling guidelines unclear.

We urge you to act on this to ensure that the public has the opportunity to both engage in robust discussion about labelling regulations and to make informed decisions about what they consume.

A copy of a detailed response to Application A1038, which includes a Risk Assessment Analysis, a review of scientific literature presented, a summary of labelling regulations for our trading partners, and an evaluation of the application’s technological merits is available from Food Irradiation Watch upon request (foodirradiationwatch@yahoo.com.au) – or downloadable from their website www.foodirradiationwatch.org

Attached are the contact details for the state and federal representatives on the Food Regulation Ministerial Council.

We call on you to ensure that Application A1038 is rejected and due process if followed in any attempt to change food labelling regulations.

We look forward to your response regarding these matters and to working with you to keep our food nutritious, healthy and safe for all Australians and New Zealanders.

Thank you,

Robin Taubenfeld

Food Irradiation Watch

foodirradiationwatch@yahoo.com.au

mbl 0411 118 737

Cat Deaths Raise Questions for Human Health

cateating2008-9 up to 100 cats became ill, paralyzed and many died as a result of eating imported cat food that had been irradiated. The irradiation process changed the structure of oils in the foods, which caused the breakdown of the myelin nerve sheath, causing neurological problems and in extreme cases death.

As a result the irradiation of cat food was banned in Australia.

Australian agricultural minister Tony Burke has banned irradiating cat food after 30 cats died and 90 cats became ill as a result of neurological disorders brought on by eating imported catfood “Orijen”. The food had been irradiated on arrival to Australia as recommended by the Australian Quarantine Inspection Service. Orijen is exported to over 60 countries and only irradiated in Australia. Other treatments including heat treatment are available.

Dr Georgina Child, the Sydney vet that made the link between the illness and irradiated cat food, told the SMH that the ban did not go far enough. She says, “We still don’t know why this problem was unique to cats, and we are not certain why some brands of pet food are affected by irradiation and not others.” She went on to say, “What this does show is that all food that has been irradiated needs to be labelled, which isn’t the case at the moment.”

Food Irradiation Watch are calling for a total ban on food irradiation for both humans and animals, including animal feed. We are also asking for better and comprehensive labelling in the interim.

We urge you to write to the relevant ministers urging this ban. Addresses can be found under the sample letter on this page.

Sydney Morning Herald Article “Irradiation Banned as Cat Theory Proved”

Telegraph Article: “Imported Cat Food Turns Deadly”

News Video of Cat illness & death

Madura Tea Joins Irradiation-Free Status!

Australian company Madura Tea are the latest brand name to commit to irradiation-free status of their popular teas.

They have committed to use only non-irradiated ingredients in all of their products. Madura have gone further to state that they will also not be using irradiated packaging on their products. We welcome them and they will be appearing in the next version of the Irradiation Free Food Guide. Contact us for your free copy!


Irradiation Free Food Guide 3rd Edition in Production

FI Watch is calling on Australian and New Zealand food producers to develop irradiation-free policies and be listed in our ever popular Irradiation Free Food Guide.

YOU can help!

1. Write to your favourite brands and ask them if they have an irradiation-free policy

2. Ask your local supermarket or health food store if they have an irradiation-free policy

3. Let us know what they say by emailing us at foodirradiationwatch@yahoo.com.au

 

You can download a pdf of our current Irradiation Free Food Guide here: 2009 Irradiation Free Food Guide – company listings (pdf)

 

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