1 / 27

Parliamentary Portfolio Committee on Health

Parliamentary Portfolio Committee on Health. Medicines and Related Substances Amendment Bill Comment by Danone Clover (Pty) Ltd Presented by Jane Badham, M.Sc Nutrition, Consultant Dietitian. Bringing Health through food to as many people as possible

njuanita
Download Presentation

Parliamentary Portfolio Committee on Health

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. Parliamentary Portfolio Committee on Health Medicines and Related Substances Amendment Bill Comment by Danone Clover (Pty) Ltd Presented by Jane Badham, M.Sc Nutrition, Consultant Dietitian

  2. Bringing Health through food to as many people as possible Danone globally is the leading producer of fresh dairy products (yoghurt & fresh cheese) Danone globally is present in 46 countries South Africa’s leading processor of yoghurt, cultured milk (maas) and desserts Local brands include Nutriday, Activia, Danino, Danao, Inkomazi, Vitalinea, Ultramel, Yogi Sip Introducing Danone Clover

  3. The DEFINITION of ‘Foodstuff’ in the Bill and the implications this potentially has for the food business and the promotion of health for all South Africans The INCLUSION of Foodstuffs in the Medicines and Related Substances Amendment Bill Key Concern Support ALL products sold requiring to be SAFE, good QUALITY & EFFICACIOUS

  4. Global foodstuff definition and standards for Health Claims – CODEX Alimentarius Local foodstuff definition and regulations for Health Claims – Regulations Relating to the Labelling and Advertising of Foodstuffs Implications of the proposed Medicines and Related Substances Amendment Bill Highlight Points

  5. Created in 1963 by FAO and WHO to develop food standards, guidelines and related texts such as codes of practice under the Joint FAO/WHO Food Standards Programme. Key purposes: Protecting the health of consumers Ensuring fair practices in food trade Promoting coordination of all food standards work. CODEXALIMENTARIUS www.codexalimentarius.net

  6. 2 of the 12 CODEX Committees include health claims in their mandate CODEX Committee on Food Labelling (CCFL) CODEX Committee on Nutrition and Foods for Special Dietary Uses (CCNFSDU) CODEX and Health Claims SOUTH AFRICA represented & active on both Committees through DOH

  7. DEFINITION OF FOODSTUFF “any substance, whether processed, semi-processed or raw, which is intended for human consumption, and includes drinks, chewing gum and any substance which has been used in the manufacture, preparation or treatment of “food” but does not include cosmetics or tobacco or substances used only as drugs.” CODEX FOODS & MEDICINES clearly separated

  8. NUTRITION AND HEALTH CLAIMS “Health claims should be consistent with national health policy, including nutrition policy, and support such policies where applicable. Health claims should be supported by a sound scientific body of evidence to substantiate the claim, provide truthful and non-misleading information to aid consumers in choosing healthful diets and be supported by specific consumer education…” CODEX Committee on Food Labelling

  9. NUTRITION AND HEALTH CLAIMS Nutrient Content Claim Nutrient Comparative Claim Nutrient Function Claim Other Function Claim Reduction of Disease Risk Claim CODEX Committee on Food Labelling CLEAR definitions & guidelines

  10. GENERAL GUIDELINES – PROHIBITED CLAIMS that any given food will provide an adequate source of all essential nutrients, except …. implying that a balanced diet or ordinary foods cannot supply adequate amounts of all nutrients which cannot be substantiated to the suitability of a food for use in the prevention, alleviation, treatment or cure of a disease, disorder, or particular physiological condition unless they are: (a) in accordance with the provisions of CODEX standards or guidelines for foods under jurisdiction of the Committee on Foods for Special Dietary Uses, or (b) permitted under the laws of the country in which the food is distributed. CODEX Committee on Food Labelling

  11. FOODS FOR SPECIAL DIETARY USES “Those foods which are specifically processed or formulated to satisfy particular dietary requirements which exist because of a particular physical or physiological condition and/or specific diseases and disorders and which are presented as such. The composition of these foodstuffs must differ significantly from the composition of ordinary foods of comparable nature, if such ordinary foods exist.” CODEX Committee on Nutrition and Foods for Special Dietary Uses CLEAR definitions & guidelines

  12. Work in progress Re-evaluating Revising Considering WHO/FAO documents (Global Strategy on Diet, Nutrition and the Prevention of Chronic Diseases) and how they can be incorporated CODEX

  13. Foodstuffs, Cosmetics and Disinfectants Act (Act 54 of 1972) Regulations Relating to the Labelling and Advertising of Foodstuffs Current in-force [R2034 of 29th October 1993] Proposed second draft [R642 of 20th July 2007] SOUTH AFRICA Significantly aligned with CODEX Comments have been submitted (102)

  14. DEFINITION OF A FOODSTUFF “any article or substance (except a medicine as defined in the Medicine and Related Substances Act 1965 [Act no.101 of 1965]) ordinarily eaten or drunk by a person or purporting to be suitable, or manufactured or sold, for human consumption, and includes any part or ingredient of any such article or substance, or any substance used or intended or destined to be used as a part or ingredient of any such article or substance” Foodstuffs, Cosmetics & Disinfectants Act

  15. PROHIBITED STATEMENTS Words, pictorial representations, marks of descriptions which create an impression that such a foodstuff is supported by, endorsed by, complies with or has been manufactured in accordance with recommendations by Medical or dental practitioners, psychologists or other persons who carry on a supplementary health service referred in the Health Professions Act, individually or through any professional or consumer advisory organisations consisting of one or more health practitioner Organisations, associations, foundations and other entities, unless approved by the DG and can then provide proof of the fact that they are involved in generic health promotion which will improve the nutritional status of the people… an individuals endorsement or testimonial in the form of a picture, written or verbal statement or in any other form, unless it is based on an evidence based nutrition motivation and submitted for pre-market approval by the DG Proposed Regulations Relating to the Labelling & Advertising of Foodstuffs

  16. PROHIBITED STATEMENTS the words ‘health’ or ‘healthy’ or other words or symbols implying that the foodstuff in and of itself has health giving properties in any manner including the name or trade name the words ‘wholesome’ or ‘nutritious… a claim that the foodstuff provides complete or balanced nutrition… Subject to the Medicines and Related Substances Act 1965 (Act 101 of 1965), the word ‘cure’ or any other medicinal claim, except those health claims permitted in terms of these regulations.” Proposed Regulations Relating to the Labelling & Advertising of Foodstuffs

  17. DEFINITION OF A HEALTH CLAIM “Means any representation that states, suggests or implies that a relationship exists between a food or a constituent of that food and health, and include but are not limited to nutrient function claims, enhanced function claims, reduction of disease risk claims, prebiotic claims, probiotic claims and slimming claims” Proposed Regulations Relating to the Labelling & Advertising of Foodstuffs

  18. HEALTH AND NUTRITION CLAIMS Nutrient Content Claims Nutrient Function Claims Enhanced Function Claims Reduction of Disease Risk Claims Other claims… Proposed Regulations Relating to the Labelling & Advertising of Foodstuffs Detailed requirements and conditions

  19. NOW includes Foodstuffs “A foodstuff as defined in the Foodstuffs, Cosmetics and Disinfectants Act, 1972 (Act No. 54 of 1972), in respect of which a medicinal claim is made” Medicine and Related Substances Amendment Bill What is the definition of ‘medicinal claim’?

  20. Definition of Medicine (Act 101 of 1965) “any substance or mixture of substances used or purporting to be suitable for use or manufacture or sale for use in - the diagnosis, treatment, mitigation, modification or prevention of disease, abnormal physical or mental state or the symptoms thereof in man; or restoring, correcting or modifying any somatic or psychic or organic function in man, and includes any veterinary medicine” Medicine and Related Substances Amendment Bill

  21. Medicine and Related Substances Amendment Bill Can we then say that any food that makes certain nutrition & health claims is making a ‘medicinal claim’?

  22. Example: Proposed nutrient function claim for CALCIUM: “Helps maintain healthy bones and teeth, & a healthy nervous system. Important for healthy regular heartbeat. Needed for muscular growth & contraction & prevents muscle cramps. Essential in blood clotting.” Correcting Mitigation Disease prevention Modifying Treatment Restoring Medicine and Related Substances Amendment Bill

  23. Medicine and Related Substances Amendment Bill Will a yoghurt that makes an approved calcium nutrient function claim be required to register ?

  24. Example: Existing health claim for mandatory fortified foods: Restoring Correcting Modifying Treatment Disease prevention Medicine and Related Substances Amendment Bill

  25. Medicine and Related Substances Amendment Bill Will bread & maize meal be required to register ?

  26. MISUNDERSTANDING CONFUSION What requires registration? What is the purpose behind this amendment to the Bill? Stakeholder consultation IMPLICATIONS Logistics Costs Health impact Barrier to trade (WTO) Medicine and Related Substances Amendment Bill

  27. We feel strongly that globally and locally foods should be regarded and regulated independently from medicines We urge the Committee to remove foods from this Bill as health and nutrition claims are being addressed in the Regulations Relating to the Labelling and Advertising of Foodstuffs Conclusion THANK YOU

More Related