
NPA Petitions FDA to Stop Changes to Nutrition Facts Label, Supplement Facts Label
The NPA claims that FDA’s labeling changes would overly burden the food and supplement industries, and says that the new regulations around added sugars are duplicitous and that the agency’s new definition of dietary fiber is not backed by scientific or empirical studies.
The Natural Products Association (NPA; Washington, DC) has filed a formal
The association focused heavily on two changes under the proposed final rule. The first is FDA’s
Daniel Fabricant, PhD, president and CEO, NPA, commented in a press release: “We are heartened by the Administration’s pledge to weed out bad regulations that only end up costing consumers more money, and this one is exhibit A. This rule was poorly written, rushed, unnecessary, and should be shelved immediately. Labeling is extremely important, but labeling changes posed by FDA must be material and based on scientific evidence or consumer empirical studies and not based on whim or the way the wind happens to be blowing.”
The petition notes that data from FDA’s own consumer studies do not seem to support the need to add an added-sugars listing to the nutrition label. According to the petition, “FDA relied upon consumer studies to support their reasoning for including a new declaration for added sugars” but found in these studies that consumers were largely confused about the difference between sugars and added sugars-regardless of whether added-sugar distinctions appeared on the label.
Further, NPA claims that FDA’s own eye-tracking studies do not seem to support its decision to include added sugars to the nutrition label, either. FDA’s eye-tracking study, which was conducted between January and March of 2015, analyzed the ways that consumers read various nutrition label elements. NPA says that the eye-tracking study sample size was too small and too regionally homogenous to obtain meaningful data. NPA used FDA’s raw eye-tracking data in its own independent study on the dwell time of eye fixation (how long consumers looked at individual components of the nutrition label) to determine whether there was difference in how long consumers examined carbohydrates versus added sugars. NPA found that consumers’ dwell time was lower when consumers were looking at added sugars compared to carbohydrate information, which the association said suggests that the added sugars line does not provide any added benefit.
NPA also questioned
Furthermore, the petition notes, “NPA does not support FDA’s current treatment of dietary fiber in the Food Labeling Final Rule, which requires industry to demonstrate at least one beneficial physiological effect in humans.”
Finally, NPA criticizes FDA’s failure to submit an economic impact analysis of the economic impact of this rule to the food and supplement industries when the final rule was announced. As NPA’s press release states, “FDA failed to submit a cost-benefit analysis to the Office of Management and Budget during promulgation of the rule, a clear violation of longstanding Executive Orders, the Regulatory Flexibility Act and the Unfunded Mandates Reform Act of 1995.”
In 2014, the FDA proposed new
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