Food Labeling; Guidelines for Voluntary Nutrition Labeling of Raw Fruits, Vegetables, and Fish, 42031-42047 [06-6436]
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§ 1115.8 Compliance with product safety
standards.
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(a) Voluntary standards. The CPSA
and other federal statutes administered
by the Commission generally encourage
the private sector development of, and
compliance with voluntary consumer
product safety standards to help protect
the public from unreasonable risks of
injury associated with consumer
products. To support the development
of such consensus standards,
Commission staff participates in many
voluntary standards committees and
other activities. The Commission also
strongly encourages all firms to comply
with voluntary consumer product safety
standards and considers, where
appropriate, compliance or noncompliance with such standards in
exercising its authorities under the
CPSA and other federal statutes,
including when making determinations
under section 15 of the CPSA. Thus, for
example, whether a product is in
compliance with applicable voluntary
safety standards may be relevant to the
Commission staff’s preliminary
determination of whether that product
presents a substantial product hazard
under section 15 of the CPSA.
(b) Mandatory standards. The CPSA
requires that firms comply with all
applicable mandatory consumer product
safety standards and to report to the
Commission any products which do not
comply with either mandatory
standards or voluntary standards upon
which the Commission has relied. As is
the case with voluntary consumer
product safety standards, compliance or
non-compliance with applicable
mandatory safety standards may be
considered by the Commission and staff
in making relevant determinations and
exercising relevant authorities under the
CPSA and other federal statutes. Thus,
for example, while compliance with a
relevant mandatory product safety
standard does not, of itself, relieve a
firm from the need to report to the
Commission a product defect that
creates a substantial product hazard
under section 15 of the CPSA, it will be
considered by staff in making the
determination of whether and what type
of corrective action may be required.
I 4. Section 1115.12 is amended by
adding a new sentence at the end of
paragraph (g)(1)(ii) to read as follows:
remaining with consumers is a relevant
consideration.
*
*
*
*
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Dated: July 18, 2006.
Todd A. Stevenson,
Secretary, Consumer Product Safety
Commission.
[FR Doc. E6–11758 Filed 7–24–06; 8:45 am]
BILLING CODE 6355–01–P
DEPARTMENT OF HEALTH AND
HUMAN SERVICES
Food and Drug Administration
21 CFR Part 101
[Docket No. 2001N–0548] (formerly Docket
No. 01N–0548)
Food Labeling; Guidelines for
Voluntary Nutrition Labeling of Raw
Fruits, Vegetables, and Fish
AGENCY:
ACTION:
Table of Contents
I. Background
II. Comments on the 2002 Proposed Rule and
2005 Reopening of the Comment Period
A. General Comments
B. Consistency Among Government
Agencies in Providing Nutrient
Information
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(g) * * *
(1) * * *
(ii) * * * The Commission also
recognizes that the number of products
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Final rule.
SUMMARY: The Food and Drug
Administration (FDA) is amending the
voluntary nutrition labeling regulations
by updating the names and the nutrition
labeling values for the 20 most
frequently consumed raw fruits,
vegetables, and fish in the United States
and clarifying guidelines for the
voluntary nutrition labeling of these
foods. Availability of the updated
nutrition labeling values in retail stores
and on individually packaged raw
fruits, vegetables, and fish will enable
consumers to make better purchasing
decisions to reflect their dietary needs.
EFFECTIVE DATE: January 1, 2008.
FOR FURTHER INFORMATION CONTACT:
Mary Brandt, Center for Food Safety and
Applied Nutrition (HFS–840), Food and
Drug Administration, 5100 Paint Branch
Pkwy., College Park, MD 20740, 301–
436–1788.
SUPPLEMENTARY INFORMATION:
§ 1115.12 Information which should be
reported; evaluating substantial product
hazard.
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Food and Drug Administration,
HHS.
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C. Need for Additional Research and Data
D. Consumer Support for Labeling of Raw
Fruits, Vegetables, and Fish
E. Allowable Nutrient Content Claims
F. Declaration of ‘‘Vitamin A’’ or
‘‘Carotenoid’’
G. Updating of Reference Amounts
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H. Inclusion of Magnesium in Nutrition
Labeling
I. Guidelines for Presentation of the
Nutrition Labeling Values
1. Clarity in Guidelines for Raw Fruits and
Vegetables and for Raw Fish
2. Trans Fatty Acid Labeling
J. Identification of the 20 Most Frequently
Consumed Raw Fruits, Vegetables, and
Fish in the United States
1. Fruits and Vegetables
2. Fish
K. Nutrition Labeling Values for the 20
Most Frequently Consumed Raw Fruits,
Vegetables, and Fish
1. FDA Analysis of Data
a. 95 Percent Prediction Intervals
b. Precision in Estimates
c. Adjusting Values for Total Carbohydrate
2. Nutrition Labeling of Raw Fruits and
Vegetables
a. Apple
b. Avocado
c. Banana
d. Kiwifruit
e. Pear
f. Strawberries
g. Potato
3. Changes to Nutrition Labeling Values
Based Upon Reassessment of 95 Percent
Prediction Intervals
4. Summary of Changes for Fruits and
Vegetables
L. Nutrition Labeling of Raw Fish
M. Effective Date
III. Final Regulatory Impact Analysis
IV. Final Regulatory Flexibility Analysis
V. Unfunded Mandates
VI. Small Business Regulatory Enforcement
Fairness Act of 1996 (SBREFA)
VII. Paperwork Reduction Act of 1995
VIII. Analysis of Environmental Impact
IX. Federalism
X. References
I. Background
In response to requirements of the
Nutrition Labeling and Education Act of
1990 (‘‘the 1990 amendments’’) (Public
Law 101–135), which amended the
Federal Food, Drug, and Cosmetic Act
(the act), FDA (we) published final
regulations in the Federal Register of
November 27, 1991 (56 FR 60880)
(hereinafter identified as ‘‘the 1991 final
rule’’), and corrections in the Federal
Registers of March 6, 1992 (57 FR 8174),
and March 26, 1992 (57 FR 10522), that:
(1) Identified the 20 most frequently
consumed raw fruits, vegetables, and
fish in the United States, which are
those varieties purchased raw but not
necessarily consumed raw; (2)
established guidelines for the voluntary
nutrition labeling of these foods; and (3)
set the criteria for food retailers to meet
substantial compliance with these
guidelines. The 1991 final rule also
required FDA to publish proposed
updates of the nutrition labeling data for
the 20 most frequently consumed raw
fruits, vegetables, and fish (or a notice
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that the data sets have not changed) at
least every 2 years (56 FR 60880 at
60888 and 60891).
Next, FDA published a proposed rule
on the voluntary nutrition labeling
program in the Federal Register of July
18, 1994 (59 FR 36379) (hereinafter
identified as ‘‘the 1994 proposed rule’’),
a correction in the Federal Register of
July 21, 1994 (59 FR 37190), and a final
rule in the Federal Register of August
16, 1996 (61 FR 42742) (hereinafter
identified as ‘‘the 1996 final rule’’). In
the 1996 final rule, among other actions,
FDA revised the following: (1) The
nutrition labeling values for the 20 most
frequently consumed raw fruits,
vegetables, and fish in the United States
and (2) the guidelines for the voluntary
nutrition labeling of these foods. FDA
also modified the guidelines in
§ 101.45(b) (21 CFR 101.45(b)), in
response to comments, to state that FDA
would publish every 4 years (rather than
2 years) proposed updates of the
nutrition data or a notice that the data
sets have not changed from the previous
publication (comment 12, 61 FR 42742
at 42746 and 42760).
FDA then published a proposed rule
on the voluntary nutrition labeling
program in the Federal Register of
March 20, 2002 (67 FR 12918)
(hereinafter identified as ‘‘the 2002
proposed rule’’), and a correction to the
Docket number and extension of the
comment period in the Federal Register
of June 6, 2002 (67 FR 38913). The 2002
proposed rule: (1) Updated the names
and nutrition labeling values for the 20
most frequently consumed raw fruits,
vegetables, and fish in the United States
and (2) clarified the guidelines for the
voluntary nutrition labeling of these
foods. Subsequently, FDA again
reopened the comment period until June
3, 2005 (70 FR 16995, April 4, 2005)
(hereinafter identified as ‘‘the 2005
reopening of the comment period’’), to
allow all interested parties the
opportunity to review its tentative
nutrition labeling values based upon
data FDA received within and after the
comment period for the 2002 proposed
rule, and to comment on the additional
nutrient data for some of the 20 most
frequently consumed raw fruits,
vegetables, and fish. FDA also stated
that it would evaluate any new data
submissions during the reopened
comment period and would consider
use of those data in a final rule.
II. Comments on the 2002 Proposed
Rule and 2005 Reopening of the
Comment Period
FDA received 21 responses to the
2002 proposed rule and 30 responses to
the tentative nutrition labeling values
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set forth in its 2005 reopening of the
comment period document, each of
which contained one or more
comments. New data also were
submitted in response to the 2005
reopening of the comment period.
Comments generally supported the 2002
proposed rule, including the new values
set forth in the 2005 reopening of the
comment period document. A number
of comments that were received are not
considered here because they are
beyond the scope of this regulation,
including those comments on labeling
of meat, poultry, and pork products;
labeling of possible positive or ill side
effects of consuming raw produce and
fish; expiration dating; physical
exercise; inclusion of additional
nutrients and amino acids; protection of
the public from profiteers; genetically
modified products; pesticide residues,
chemicals, and processes; and
monosodium glutamate (MSG). Several
comments suggested modification and
revision in various provisions of the
2002 proposed rule, as revised by the
2005 reopening of the comment period.
These latter comments are discussed in
detail in this section of the document.
To make it easier to identify
comments and FDA’s responses to the
comments, the word ‘‘Comment’’ will
appear in parenthesis before the
description of the comment, and the
word ‘‘Response’’ will appear in
parenthesis before FDA’s response. We
have also numbered each comment to
make it easier to identify a particular
comment. The number assigned to each
comment is purely for organizational
purposes and does not signify the
comment’s value or importance or the
order in which it was submitted.
A. General Comments
(Comment 1) One comment, which
supported the agency’s efforts to
establish accurate, meaningful nutrition
information, requested that FDA post
this information on its Web site and
permit retailers who have developed
Web sites to incorporate links from the
retailer Web site to the FDA nutrition
information.
(Response) FDA agrees with this
suggestion and has posted the nutrition
labeling values on the Internet at
www.cfsan.fda.gov. We encourage
retailers, industry, trade associations,
academia, and other government
agencies to provide links to that
information.
B. Consistency Among Government
Agencies in Providing Nutrient
Information
(Comment 2) Several comments
expressed concern that the proposed
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changes to some of the nutrient values
appear inconsistent from the U.S.
Department of Agriculture (USDA)
Nutrient Database for Standard
Reference (SR) (Ref. 1) and from its data
source, the USDA National Nutrient
Data Bank (NNDB) (Ref. 2). One
comment suggested that whenever
possible, FDA should consider SR
values in addition to the agency’s own
95 percent prediction limit when
determining label values.
(Response) FDA agrees that some of
its nutrient values differ from data
found in the USDA SR and NNDB. As
we explained in the 1996 final rule (61
FR 42742 at 42743), FDA does not agree
that mean values from USDA databases
are appropriate for nutrition labeling.
We support use of the USDA NNDB
and associated USDA SR for many
nutritional purposes and recognize the
USDA SR as the most comprehensive
nutrient database in the United States
and the basis of much nutrition
software. For this reason, we have used
all data submitted by USDA to update
the nutrition labeling values for raw
fruits and vegetables, including the data
from its 2001–2002 nationwide
sampling study of fruits and vegetables
for 16 of the 20 most frequently
consumed raw fruits and 12 of the 20
most frequently consumed raw
vegetables that it submitted in response
to the 2002 proposed rule (see https://
www.fda.gov/ohrms/dockets/dailys/02/
Aug02/080602/01n–0548–c000006–
vol1.pdf) and (see https://www.fda.gov/
OHRMS/DOCKETS/98fr/01n–0548–
bkg0002–03–Tab–01–vol4.pdf) and its
data for raw mushrooms in response to
the 2005 reopening of the comment
period, as well as data from other
sources, as described later in this final
rule. In addition, we used data from the
USDA NNDB to establish nutrient levels
for Chinook salmon in response to
comments to the 2002 proposed rule.
Raw nutrient data (individual analytical
data points) from the USDA NNDB also
provide the basis of the nutrient levels
for most of the raw fish. Because of the
lack of data for vitamin A and vitamin
C in raw fish, we have based the values
for most fish in the voluntary nutrition
labeling program on data published in
the USDA SR, which are mean values.
As stated in the 1996 final rule (61 FR
42742 at 42743), some of USDA’s food
composition data published in the SR
are not fully representative because they
are based on small sample sizes or do
not take into account specific variables,
such as geographic area. We obtained
data for many of the raw fruits,
vegetables, and fish from the USDA
NNDB and SR, but, where possible,
instead of using the mean values, we
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applied compliance calculations based
on 95 percent prediction intervals to
those data (as well as to other data
sources) and used the resulting adjusted
values that account for variability in the
nutrient.
To meet the requirements for
compliance in § 101.9(g)(4) and (g)(5)
(21 CFR 101.9(g)(4) and (g)(5)), the
agency encourages manufacturers to use
FDA compliance calculations based on
95 percent prediction intervals to
determine the nutrition labeling values
for their products. We provide guidance
explaining this calculation and for
industry to use to develop nutrition
labeling values in the ‘‘FDA Nutrition
Labeling Manual—A Guide for
Developing and Using Databases’’ (the
Nutrition Labeling Manual) (Ref. 3). The
Nutrition Labeling Manual more fully
explains the rationale and process for
conducting and using compliance
calculations based upon 95 percent
prediction intervals.
(Comment 3) Several comments stated
that it is important to have consistency
in the nutrition information that is
communicated to the public and that
FDA should do more to bring greater
harmony among the government’s
nutrition information, including
ensuring that nutrient values are
consistent with the nutrition messages
publicized by the 2005 Dietary
Guidelines for Americans.
(Response) We believe it is important
to have consistency in the nutrition
information that is communicated to the
public; however, there are some
fundamental differences in the nutrient
values being established in this final
rule and the nutrition messages
publicized by the 2005 Dietary
Guidelines for Americans. The Dietary
Guidelines for Americans (Ref. 4)
recommends the increased intake of
fruits, vegetables, and fish and cites
nutrient data from the USDA SR in the
report that they released January 12,
2005. The data provided by the 2005
Dietary Guidelines for Americans were
mean values per 100 gram (g) of product
and were not on the same metric as the
nutrition labeling values in Appendices
C and D to part 101 (21 CFR part 101),
which are provided on a serving size
basis and are required in § 101.45(b) for
labeling of the 20 most frequently
consumed raw fruits, vegetables, and
fish to ensure uniformity in declared
values. Thus, some differences in
nutrient levels are likely to be noted.
C. Need for Additional Research and
Data
(Comment 4) Five comments
requested that the final rule not be
finalized at this time because they
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needed an additional 12 months to plan,
execute, and evaluate additional
nutrient research so that nutrient data
are as complete and extensive as
possible. The comments asserted that
this additional time will allow for
sampling products at different times of
the year which will give them a more
accurate reflection of the seasonal
impact on nutrient content values. One
of the comments stated the additional
time also would allow the industry to
establish more data points and thus
increase the sample size of analytical
values, which may help in calculating a
more reliable mean value and improving
the standard deviation, both factors
needed to calculate the one-sided 95
percent prediction interval.
(Response) The data submitted to
FDA in response to the 2002 proposed
rule were available for public review for
almost 3 years. We believe that this is
more than an adequate amount of time
for interested persons to complete
nutrient analyses, provide additional
data and information on market shares,
determine the seasonal impact on
nutrient content values, and establish
more data points for calculating a more
reliable nutrient value. We therefore
have concluded that the requested
additional time is not warranted.
However, we do encourage the produce
and fish industries to continue to
conduct research on nutrient values and
to submit new data to FDA for
consideration in future updates, in
accord with § 101.45(b).
(Comment 5) One comment urged that
FDA utilize all credible data available
and not a limited set of data from one
study.
(Response) FDA agrees that it should
utilize all credible data available in
developing its nutritional values for raw
fruit, vegetables, and fish. We recognize
that additional nutrient data are needed
to support the voluntary nutrition
labeling of raw produce and fish
because some of the current values are
based on small sample sizes or older
data and should be updated. However,
many of the commodity groups and
organizations that represent the produce
and fish industries have not submitted
new data to support the updating and
refinement of the nutrient levels. We
therefore can only use the data we have
in updating and refining these nutrient
levels. As stated in the response to
comment 4 of this document, we
encourage and will continue to
encourage the produce and fish
industries to conduct additional
nutrient analyses to support the labeling
of these foods and to submit those data
to FDA for consideration in updating
the nutrient levels in the next review of
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the voluntary nutrition labeling of raw
produce and fish.
D. Consumer Support for Labeling of
Raw Fruits, Vegetables, and Fish
(Comment 6) One comment
recommended that FDA establish
nutrition labeling values for more than
just the 20 most frequently consumed
raw products identified in the proposal.
(Response) Section 403(q)(4)(B) of the
act (21 U.S.C. 343(q)(4)(B)) provides that
FDA establish by regulation a list of the
20 varieties of vegetables, fruits, and
raw fish most frequently consumed in a
year. Therefore, we are not granting the
comment’s request in this final rule.
However, we have provided for the
nutrition labeling of raw fruits,
vegetables, and fish that are not among
the 20 most frequently consumed in
§ 101.45(c). In that regulation, FDA
states that databases of nutrient values
may be used to develop nutrition
labeling values for specific varieties,
species, or cultivars of those foods not
among the 20 most frequently consumed
raw fruits, vegetables, and fish. The food
names and descriptions for the fruits,
vegetables, and fish in nutrition labeling
or in databases developed and
submitted to FDA under this regulation
should clearly identify these foods as
distinct from foods among the most
frequently consumed list for which we
have provided data. Guidance in the
development of databases for these
foods may be found in the FDA
Nutrition Labeling Manual (Ref. 3).
(Comment 7) Two comments
requested that FDA make the voluntary
guidelines mandatory and require
retailers to provide nutrition
information for raw fruits, vegetables,
and fish products.
(Response) FDA disagrees with the
comments. The compliance surveys we
conducted in 1992, 1994, and 1996 (Ref.
5) do not support taking such action at
this time. These surveys found that
retailers exceeded the 60 percent
substantial compliance standard set in
§ 101.43(c) by a large enough margin to
provide confidence that the levels were
not invalidated by statistical error.
Levels of compliance for 1992, 1994,
and 1996 were 76.9 percent, 81.4
percent, and 77.8 percent for raw
produce and 74.3 percent, 76.8 percent,
and 74.0 percent for raw fish. As our
surveys have found substantial
compliance over several years, we have
no reason to evaluate the marketplace
differently than we have in past years
because there is no evidence that
substantial compliance does not
continue at the present time. Absent
information suggesting otherwise, our
evaluation of the available compliance
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data and our projections based on those
data indicate that compliance remains
substantial at this time. Thus, at this
time, we continue to encourage retailers
to provide quantitative nutrition
information for raw fruits, vegetables,
and fish but will not publish regulations
to make the provision of nutrition
information mandatory.
E. Allowable Nutrient Content Claims
(Comment 8) One comment expressed
concern that changing the existing
nutrition label values for several key
fruits and vegetables will weaken their
perceived nutrient values (e.g., a fruit or
vegetable that was previously an
‘‘excellent source’’ would now be
considered a ‘‘good source’’) and some
micronutrient claims would have to be
dropped altogether because these fruits
and vegetables will not be able to bear
the same nutrient content claims that
they once did under § 101.54. This
situation could cause only fortified
processed foods to be able to use the
claim ‘‘excellent source’’ for some
nutrients. The comment stated that the
changes the agency is making would
mean the loss of positive nutrition
content claims for several vegetables
and fruits that are currently considered
to be the ‘‘gold standard’’ of nutrition
among consumers.
(Response) We recognize and agree
that based upon new data, some of the
fruits and vegetables may no longer be
able to bear the same nutrient content
claims. We want to clarify, however,
that as described in § 101.54, nutrient
content claims must be based on the
reference amounts customarily
consumed (RACCs) and not on the
serving sizes of products, which are
derived from the RACCs. Specifically,
§ 101.54(b) states the provisions for
‘‘high claims’’ (‘‘high,’’ ‘‘rich in,’’ or
‘‘excellent source of’’), and § 101.54(c)
provides those for ‘‘good source claims’’
(‘‘good source,’’ ‘‘contains,’’ or
‘‘provides’’).
Section 101.12(b) states that reference
amounts shall be used as the basis for
determining serving sizes for specific
products. The RACCs shown in Table 2
of § 101.12 for fruits, vegetables, and
fish in the voluntary nutrition labeling
program include 140 g for fresh fruits,
30 g for avocado, 280 g for watermelon,
55 g for lemon and lime, 30 g for green
onion, 110 g for fresh potatoes, 85 g for
fresh vegetables, and 85 g for cooked,
plain fish and shellfish. The serving
sizes of raw produce displayed in
Appendix C to part 101, while based on
the RACCs, are generally not equivalent
to the RACCs, which are listed in grams
only, but are provided on the basis of a
‘‘household measure’’ of a food as well
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as in g and ounces (oz), such as 1
medium banana (126 g per (/) 4.5 oz) or
5 asparagus spears (93 g/3 oz). The
serving size for all raw fish displayed in
Appendix D to part 101 is 84 g/3 oz.
F. Declaration of ‘‘Vitamin A’’ or
‘‘Carotenoid’’
(Comment 9) One comment stated
that fruits and vegetables contain
carotenoid, which is the precursor of
vitamin A, but not vitamin A itself, so
the term ‘‘vitamin A’’ for fruits and
vegetables should be changed to
‘‘carotenoid’’.
(Response) We believe it would be
inaccurate to change the term ‘‘Vitamin
A’’ to ‘‘carotenoids’’ for fresh fruit and
vegetables given the understanding of
the term ‘‘Vitamin A’’ and the relatively
limited understanding of the functions
of the hundreds of naturally occurring
carotenoids. Vitamin A comprises a
family of molecules containing a 20carbon structure with a methyl
substituted cyclohexenyl ring and a
tetraene side chain with a hydroxy
group (retinol), aldehyde group (retinal),
carboxylic acid group (retinoic acid) or
ester group (retinyl ester) at carbon 15.
The term ‘‘Vitamin A’’ includes
provitamin A carotenoids that are
dietary precursors of retinol. The term
‘‘retinoids’’ refers to retinol, its
metabolites, and synthetic analogues
that have a similar structure.
Carotenoids are polyisoprenoids, of
which more than 600 forms exist. Of the
many carotenoids in nature, several
have provitamin A nutritional activity.
Food composition data are available for
only three (alpha-carotene, betacarotene, and beta-crypotoxanthin).
Because the term ‘‘Vitamin A’’ typically
encompasses pro-vitamin A carotenoids,
and most carotenoids have no food
composition data available at this time,
the suggested change would be
inaccurate.
G. Updating of Reference Amounts
(Comment 10) One comment
recommended that FDA not revise
nutrient values for the 20 most
frequently consumed raw fruits,
vegetables, and fish until we finalized
the April 4, 2005 (70 FR 17010)
Advanced Notice of Proposed
Rulemaking (ANPRM) (the April 2005
ANPRM), that requested comments on,
among other issues, whether we should
update the RACCs, the basis for serving
size. The comment was of the view that
we should wait until the reference
amounts are revised to reflect what is
currently available in the U.S. market.
(Response) FDA disagrees with the
comment. We believe we should
publish this final rule at this time and
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not wait until completion of the
rulemaking process that we initiated by
the April 2005 ANPRM. We are
currently reviewing comments
submitted in response to the ANPRM
and have not determined whether or
when we will update the RACCs. If we
do decide to go forward with that
rulemaking and revise the RACCs, we
will then update the serving sizes of raw
fruits, vegetables, and fish to reflect
those revisions in future rulemaking for
the voluntary nutrition labeling
program.
H. Inclusion of Magnesium in Nutrition
Labeling
(Comment 11) One comment
suggested that FDA include the
magnesium content of seafood in the
voluntary nutrition labeling regulations.
Cooked fish, the comment noted, can
provide substantial amounts of
magnesium in the U.S. diet, which
would provide health benefits to
American consumers. Another comment
requested that magnesium be added to
the banana’s nutrition labeling profile in
Appendix C to part 101. The latter
comment noted that the 2005 Dietary
Guidelines for Americans recommend
that both adults and children increase
their intake of magnesium from food
sources.
(Response) FDA is not granting either
of these requests. We note that the 2005
Dietary Guidelines state that based on
dietary intake data or evidence of public
health problems, intake levels of
magnesium may be of concern for both
adults and children (Ref. 4). However,
none of the comments included nutrient
data for magnesium for any of the fish
in the voluntary nutrition labeling
program, and we do not have access to
magnesium data for any of the fish or
the raw fruits and vegetables. Thus we
cannot grant the request in the comment
without such supporting data.
However, we consider magnesium an
optional nutrient for both mandatory
nutrition labeling and the voluntary
nutrition labeling of raw fruits,
vegetables, and fish. In the 1996 final
rule, we noted that providing
information on optional nutrients for
foods in the voluntary program will be
useful, and declarations of optional
nutrients included on individual labels
should follow the requirements under
§ 101.9(c).
I. Guidelines for Presentation of the
Nutrition Labeling Values
1. Clarity in Guidelines for Raw Fruits
and Vegetables and for Raw Fish
To provide clarity and consistency in
the voluntary nutrition labeling of raw
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fruits, vegetables, and fish, FDA
proposed in § 101.45(a)(3) to: (1) Divide
current § 101.45(a)(3)(iii) into two parts
(i.e., into § 101.45(a)(3)(iii) and
(a)(3)(iv)) so that § 101.45(a)(3)(iii)
pertains only to raw fruits and
vegetables and § 101.45(a)(3)(iv)
pertains only to raw fish and (2) revise
the wording for consistency and
increased readability. No comments
were received, and therefore these
guidelines were adopted as proposed.
2. Trans Fatty Acid Labeling
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FDA stated in the 2002 proposed rule
that trans fatty acids would not be
expected to be present in raw produce
and that the footnote required in
proposed § 101.45(a)(3)(iii) should be
revised to state: ‘‘Most fruits and
vegetables provide negligible amounts
of saturated fat, trans fat, and
cholesterol * * *.’’ Comments supported
FDA’s proposed revisions to
§ 101.45(a)(3)(iii), and therefore we have
adopted it as proposed.
Also, FDA requested comments that
provide data on the trans fat content of
raw fish (or cooked fish without the
addition of any ingredients, e.g., fat,
breading, or seasoning).
(Comment 12) Several comments
requested that FDA revise
§ 101.45(a)(3)(iv) to state that fish
provide only negligible amounts of trans
fat, or no trans fat. A comment from the
fish industry noted that, unlike some
animals, fish do not typically
accumulate measurable levels of trans
fat as a result of their metabolized food
sources, and it is particularly true of
wild-caught fish.
(Response) FDA agrees with the
comments and has revised
§ 101.45(a)(3)(iv) to read as follows:
‘‘When retailers provide nutrition
labeling information for more than one
raw fish on signs or posters or in
brochures, notebooks, or leaflets, the
listings for trans fat, dietary fiber and
sugars may be omitted from the charts
or individual nutrition labels if the
following footnote is used, ‘Fish provide
negligible amounts of trans fat, dietary
fiber, and sugars’.’’ Appendices C and D
to part 101 will show 0 g of trans fat for
all varieties of raw fruits, vegetables,
and fish.
J. Identification of the 20 Most
Frequently Consumed Raw Fruits,
Vegetables, and Fish in the United
States
There were no comments that
recommended changing the top 20 most
frequently consumed raw fruits and the
top 20 most frequently consumed raw
15:39 Jul 24, 2006
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2. Fish
(Comment 13) Two comments
requested that FDA revise
§ 101.45(a)(3)(iv) to add Chinook salmon
to the salmon species. One comment
stated that the vast majority of Chinook
salmon is sold raw to the U.S.
consumer, and the nutrient profile is
most similar to the proposed category
for the values for Atlantic/coho/sockeye
salmon.
(Response) We agree with this
suggestion and have revised
101.45(a)(3)(iv) to combine Atlantic,
coho, Chinook and sockeye into one
subgroup of salmon based upon
similarity in nutrient values.
(Comment 14) One comment
requested that FDA report information
for farmed salmon separately from that
for wild salmon because food supply
and water quality greatly affect nutrition
value of the food whether it is raised or
caught.
(Response) We are not granting this
request because there were no nutrient
data submitted that supported providing
nutrition information separately for
farmed versus wild species of salmon or
other types of fish.
K. Nutrition Labeling Values for the 20
Most Frequently Consumed Raw Fruits,
Vegetables, and Fish
1. FDA Analysis of the Data
1. Fruits and Vegetables
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vegetables. For ease of use and to be
consistent with the food names in
Appendix C to part 101, we revised
§ 101.44(a) and (b) by listing the items
in alphabetical order and by using the
plural form of the food name when the
serving size is more than one unit.
Revised § 101.44(a) reads as follows:
‘‘The 20 most frequently consumed raw
fruits are: Apple, avocado (California),
banana, cantaloupe, grapefruit, grapes,
honeydew melon, kiwifruit, lemon,
lime, nectarine, orange, peach, pear,
pineapple, plums, strawberries, sweet
cherries, tangerine, and watermelon.’’
Revised § 101.44(b) reads as follows:
‘‘The 20 most frequently consumed raw
vegetables are: Asparagus, bell pepper,
broccoli, carrot, cauliflower, celery,
cucumber, green (snap) beans, green
cabbage, green onion, iceberg lettuce,
leaf lettuce, mushrooms, onion, potato,
radishes, summer squash, sweet corn,
sweet potato, and tomato.’’
FDA considered the data from all of
the sources identified in sections II.K.2
and II.K.3 of this final rule and used
these data as the basis for deriving the
updated nutrition labeling values for the
20 most frequently consumed raw fruits,
vegetables, and fish in Appendices C
and D to part 101. Reference 6 of this
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document provides complete
documentation of the derivation of each
nutrition labeling value for the raw
fruits, vegetables, and fish covered in
this final rule. The documentation also
includes the actual (unrounded) values
for total fat, total carbohydrate, and
protein used to calculate calories and
calories from fat for each food.
To the extent possible (i.e., for those
nutrients for which sufficient data were
available), we used the statistical
methodology recommended in the FDA
Nutrition Labeling Manual to produce
the nutrition labeling values. The
recommended statistical methodology
uses compliance calculations that take
into account the variation of nutrients in
foods, as described in greater detail in
the 2002 proposed rule.
a. 95 Percent Prediction Intervals.
(Comment 15) One comment stated
that proposed values appear to be
imprecise and not representative when
calculating for the one-sided 95 percent
prediction interval. As a solution, the
comment recommended that FDA use
predicted values that fall within the
range of the actual data points.
(Response) We agree with the
comment that the 95 percent predicted
value should fall within the range of the
interval of all raw data points and have
reviewed all nutrient data for all foods.
If the 95 percent predicted value falls
within the interval of all raw data
points, then it is reasonable that it
represent the nutrient level of the
product. If for any reason, the 95
percent predicted value shows an
invalid complete absence of a nutrient,
if it is a negative value, or if it does not
fall within the interval of all raw data
points, it is likely that the mean will
provide a better estimate of the nutrient
than the predicted value. We also noted
in the 2002 proposed rule that we
frequently find that the mean and the
predicted value round to the same
value. In addition, we found that when
the sample size was small (e.g., three or
fewer analytical data points), the values
derived from compliance calculations
(using 95 percent prediction intervals)
were less likely than the mean to
represent the nutrient level. Thus, after
a careful review of statistical and
analytical data and considering all
criteria listed in section II.K.1 of this
document, we selected those values that
more appropriately represent the
nutrient level in the food.
(Comment 16) One comment asked
that FDA provide clarification of the
agency’s compliance with the Data
Quality Act in issuing the proposed
nutrient labeling values.
(Response) In the Information Quality
Act (IQA), Public Law No. 106–554,
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Federal Register / Vol. 71, No. 142 / Tuesday, July 25, 2006 / Rules and Regulations
section 515 (2000), see 44 U.S.C. 2516
note, Congress directed the Office of
Management and Budget (OMB) to issue
governmentwide guidelines designed to
ensure and maximize the ‘‘quality,
objectivity, utility, and integrity of
information * * * disseminated by
Federal agencies,’’ and in turn required
agencies to issue their own guidelines
concerning information quality and to
establish administrative mechanisms to
allow affected persons to seek and
obtain correction of information
maintained and disseminated by the
agency that does not comport with the
agency’s guidelines. OMB’s guidelines
were published in the Federal Register
of February 22, 2002 (67 FR 8452);
HHS’s guidelines were announced in
the Federal Register of September 30,
2002 (67 FR 61343), and can be found
at https://aspe.hhs.gov/infoquality/
guidelines/fda.shtml. (FDA has verified
the Web site address, but we are not
responsible for subsequent changes to
the Web site after this document
publishes in the Federal Register.)
The nutrition labeling values that we
provide in the voluntary nutrition
labeling program are developed using a
transparent process that provides data
that are reproducible and are otherwise
in compliance with FDA’s IQA
guidelines and the IQA. The process of
setting and updating these values is
identified in § 101.45(b) and (c) and in
the FDA Nutrition Labeling Manual,
described in § 101.45(b) and (c). The
manual provides the general
methodology that we recommend and
follow to determine nutrition labeling
values based on 95 percent prediction
intervals, and FDA has provided
detailed explanations of its
methodology in the proposed rule and
in response to comments in this
preamble. In addition to the FDA
Nutrition Labeling Manual, FDA staff
members are available to answer
questions and to provide further
direction on the analytical, statistical,
and methodological questions that arise
concerning determination of nutrition
labeling values. Stakeholders with new
or additional nutrient data for any of the
most frequently consumed raw fruits,
vegetables, and fish are encouraged in
§ 101.45(b) and (c) to submit data to the
agency for review and evaluation by the
agency, and these data may be
incorporated into subsequent revisions
of the nutrition labeling information.
b. Precision in Estimates.
(Comment 17) One comment
suggested that USDA and FDA
emphasize in the regulation that the
[serving] sizes given for produce items
are expressed for the edible portion
even though, as another comment noted,
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consumers buy foods in ‘‘as purchased’’
quantities. For example, a consumer
buying a fruit with a large amount of
inedible content (e.g., cantaloupe or
peach), would likely believe that they
are getting more nutrients than they are.
The comment stated that having yield
conversion factors would be necessary
to make the nutrient information truly
usable to the consumer.
(Response) We do not believe the
emphasis requested is necessary, as we
are not aware of consumer research that
describes consumers’ perceptions of the
size of fruits and vegetables they
purchase with respect to interpretation
of nutrient information available on
signs in retail outlets, which is based on
a serving size set by FDA and reflects
the amount customarily consumed. We
are therefore not convinced that most
consumers will require the precision in
knowing at the point of purchase the
yield information of the raw fruits and
vegetables they purchase.
(Comment 18) One comment
expressed concern that the proposed
changes in nutrient levels mislead the
public because listing the weight of any
fruit or vegetable in unrounded numbers
gives an impression of an unwarranted
level of accuracy, when in fact fruits
and vegetables vary in size.
(Response) FDA agrees that fruits and
vegetables vary in size but disagrees that
listing the weight in unrounded
numbers gives an impression of an
unwarranted level of accuracy. The
nutrition labeling values in Appendix C
to part 101 provide serving sizes for
each fruit and vegetable that is
expressed in a visual unit of measure
(e.g., 1 medium apple; 2 slices
pineapple; 5 spears asparagus; 1/2
medium summer squash; 1 medium, 5′
long, 2′ diameter sweet potato), as well
as the gram and ounce equivalent.
Visual units of measure vary and are not
intended to be precise. We expect that
consumers will treat them as an
approximation but will also have the
option of referring to the gram and
ounce serving size measures if greater
precision is needed.
c. Adjusting Values for Total
Carbohydrate.
(Comment 19) One comment objected
to FDA adjusting the total carbohydrate
values where the sum of sugars and
dietary fiber exceeded the value for total
carbohydrate. The comment stated that
the sugar value should be adjusted
when sugars and fibers exceed total
carbohydrate, and the sugar values are
from a different source than the
proximate, fiber, and other nutrient
values. This, the comment stated, would
more accurately represent the sugar and
carbohydrate content, as well as the
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caloric value, of the samples from which
most of the nutrition labeling values
have been derived.
(Response) We disagree that the
sugars value should be adjusted. The
sum of the sugars and dietary fiber
values, which were derived from
analytical data submitted by USDA,
exceeded the value for total
carbohydrate for cantaloupe, honeydew
melon, and watermelon. For these foods
only, we adjusted the value for total
carbohydrate to reflect the sum of sugars
and dietary fiber. As stated in the 2002
proposed rule, we consider this
adjustment to be appropriate because
the values for sugars and dietary fiber
are determined by laboratory analysis,
and therefore, are more accurate than
the value for total carbohydrate, which
is determined ‘‘by difference’’ (i.e., the
weight remaining after subtracting the
sum of the protein, fat, moisture, and
ash from the total weight of the food
(§ 101.9(c)(6))).
2. Nutrition Labeling of Raw Fruits and
Vegetables
In the 2002 proposed rule, FDA
updated nutrition labeling values for 12
of the 20 raw fruits and 9 of the 20 raw
vegetables. We used new data for six of
the fruits from the California Avocado
Commission (CAC); the California Table
Grape Commission; the California Tree
Fruit Agreement (CTFA) for peach,
plums, and nectarine; and the California
Cherry Advisory Board for fat in sweet
cherries. We also used new data for four
vegetables from the National Potato
Protection Board and the USDA NNDB
for green onion, sweet corn, and sweet
potatoes. In other nutrition label
changes, we corrected slight errors in
sugars, total carbohydrate, calories, and
calories from fat values in a few fruits
and vegetables (cantaloupe, orange,
strawberries, sweet cherries, tangerine,
watermelon, asparagus, celery, green
(snap) beans, and tomato) and corrected
the serving size for grapefruit, carrot,
and sweet potato.
As indicated in section II.B of this
final rule, USDA submitted data in
response to the 2002 proposed rule from
its 2001–2002 nationwide sampling
study of fruits and vegetables, which it
incorporated into its NNDB and SR, for
16 of the 20 most frequently consumed
raw fruits (apple, avocado (California),
banana, cantaloupe, grapefruit,
honeydew melon, kiwifruit, nectarine,
orange, peach, pear, pineapple, plums,
strawberries, sweet cherries, and
watermelon) and 12 of the 20 most
frequently consumed raw vegetables
(bell pepper, broccoli, carrot, celery,
cucumber, iceberg lettuce, leaf lettuce,
onion, potato, radish, sweet potato, and
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tomato). At the time USDA submitted
the comment, the data results for
vitamin C, sodium, and potassium were
not yet available, and the analysis of
carotenoids for carrots, sweet potatoes,
cucumbers, onions, and sweet peppers
had not been completed. In June and
July of 2003, after the close of the
comment period, USDA provided
sodium, potassium, and some
carotenoid values that it did not submit
earlier, including vitamin C values for
pineapple. In other comments to the
2002 proposed rule, the Citrus Research
Board and Food Research, Inc.,
provided nutrient data from 1998 for
oranges, grapefruit, tangerines
(Mandarin oranges), and lemons. We
used all of the new data to update the
nutrition labeling values in the 2005
reopening of the comment period.
In response to the 2005 reopening of
the comment period, the Pear Bureau
Northwest submitted market share data
for four varieties of pears; USDA
submitted data for raw mushrooms;
Food Research, Inc., submitted data for
total fat in kiwifruit; and the California
Strawberry Commission (CSC)
submitted data for sugars, calcium, and
iron in strawberries. After the close of
the comment period, the U.S. Apple
Association (USApple) submitted data
for fiber and new serving size
information. We considered all data
submitted in response to the 2005
reopening of the comment period and
used those data to update the nutrition
labeling values for raw fruits and
vegetables in this final rule. The
following will address individual fruits
and vegetables for which we received
data in response to the 2005 reopening
of the comment period.
a. Apple.
(Comment 20) USApple requested
that FDA use its new serving size
information and new data for dietary
fiber for five varieties of apples (Red
Delicious, Golden Delicious, Granny
Smith, Gala, and Fuji) in updating the
nutrient values for apples. USApple
stated that based on current market data,
retailers are selling significantly larger
apples than those represented by the
existing serving size of 154 g or 5.5 oz
edible portion, which is based on 1975
market data. They noted that the 154 g
serving size for apples does not reflect
the majority of apples for sale in the
retail market and that a large apple (264
g whole, 242 g edible portion) is
customarily consumed in the United
States. They stated apple growers have
adapted to consumers’ tastes and
preferences by growing and marketing
larger apples, and, as a result, apple
production and the apple market have
changed significantly. In addition, only
small and large apple sizes exist in
today’s marketplace. There is no
inventory management or price look-up
(PLU) sticker that designates a
‘‘medium’’ size apple at the retail level,
and smaller apples typically go to
processing. USApple recommended that
a large apple (242 g edible portion)
should be listed as the serving size.
(Response) We agree with the
USApple request. We are convinced by
the data submitted by USApple that ‘‘1
large (242 g/8 oz)’’ better represents the
serving size for apple. Thus, we
combined the data for dietary fiber from
the USApple research study (n=8) with
data provided by USDA for the same
five varieties of apples in response to
the 2002 proposed rule (n=15) and
conducted weighted compliance
calculations of all nutrients based on
market share using 95 percent
prediction intervals (Ref. 7). Based upon
our analysis of the data, we determined
that there would be changes in nutrition
labeling values for calories (130 from
80), potassium (260 milligrams (mg), 7
percent daily value (DV), from 160 mg,
5 percent DV), total carbohydrate (34 g,
11 percent DV, from 21 mg, 7 percent
DV), dietary fiber (5 g, 20 percent DV,
from 3 g, 12 percent DV), sugars (25 g
from 16 g), protein (1 g from 0 g),
calcium (2 percent DV from 0 percent
DV), and iron (2 percent DV from 0
percent DV). Table 1 of this document
includes changes in nutrition labeling
values for apples, and Appendix C to
part 101 provides the listing of all
values.
TABLE 1.—CHANGES TO THE NUTRITION LABELING INFORMATION FOR RAW FRUITS AND VEGETABLES
2005 Reopening Comment Period Values
Final Rule Values
Food and Nutrient
% DV
Apples (242 g)
Calories
Potassium
Total Carbohydrate
Dietary Fiber
Sugars
Protein
Calcium
Iron
(154 g)
80
160 mg
21 mg
3g
16 g
0g
5%
7%
12%
(242 g)
130
260 mg
34 mg
5g
25 g
1g
0%
0%
Avocado (30 g)
Calories from Fat
Total Fat
Saturated Fat
Total Carbohydrate
Iron
45
5
1
2
Banana (126 g)
Sodium
Dietary Fiber
Vitamin A
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% DV
5 mg
2g
g
g
g
g
7%
11%
20%
2%
2%
35
4.5 g
0.5 g
3g
8%
5%
1%
0%
0%
8%
0%
0 mg
3g
7%
3%
1%
2%
0%
12%
2%
Cantaloupe (134 g)
Calcium
0%
2%
Honeydew melon (134 g)
Calcium
0%
2%
Kiwifruit (148 g)
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TABLE 1.—CHANGES TO THE NUTRITION LABELING INFORMATION FOR RAW FRUITS AND VEGETABLES—Continued
2005 Reopening Comment Period Values
Final Rule Values
Food and Nutrient
% DV
Total Fat
% DV
1.5 g
2%
1g
2%
Lemon (58 g)
Dietary Fiber
1g
4%
2g
8%
Nectarine (140 g)
Dietary Fiber
1g
4%
2g
8%
Orange (154 g)
Vitamin A
0%
Pear (166 g)
Potassium
Total Carbohydrate
Dietary Fiber
Protein
Calcium
180 mg
25 g
4g
0g
5%
8%
16%
2%
190 mg
26 g
6g
1g
5%
9%
24%
0%
0%
Pineapple (112 g)
Iron
Plums (151 g)
Dietary Fiber
Iron
1g
Strawberries (147 g)
Sugars
Calcium
Iron
2%
2%
6g
4%
0%
2g
8%
2%
8g
0%
0%
2%
2%
Tangerine (109 g)
Sodium
5 mg
0%
0g
0%
Broccoli (148 g)
Total Carbohydrate
Protein
Iron
10 g
2g
3%
8g
4g
3%
4%
0%
Carrot (78 g)
Iron
6%
2%
Celery (110 g)
Dietary Fiber
1g
4%
2g
8%
Cucumber (99 g)
Calories
Total Carbohydrate
Sugars
Protein
15
3g
2g
0g
1%
10
2g
1g
1g
1%
Green Onion (25 g)
Iron
0%
2%
Leaf Lettuce (85 g)
Calcium
4%
2%
Mushrooms (84 g)
Sodium
0%
15 g
0%
Onion (148 g)
Potassium
Calcium
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0g
160 mg
5%
2%
190 g
5%
4%
Radishes (85 g)
Potassium
160 mg
5%
190 mg
5%
Tomato (148 g)
Sodium
35 mg
1%
20 mg
1%
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b. Avocado.
(Comment 21) In comments submitted
in response to the 2005 reopening of the
comment period, CAC requested that
FDA establish a nutrition labeling value
of 0.5 g for saturated fat, 2 g for dietary
fiber, and 150 mg for potassium.
CAC also submitted a comment in
response to the 2002 proposed rule
stating that it is well established that the
fat content of an avocado varies and
increases throughout the season and
asked that we consider seasonal data in
determining the content of fat. To
support their request, CAC also noted
that the State of California regulates the
percent oil (fat) that must be present in
an avocado before it can be sold. Not
only does the fat content vary
throughout the season, but as with many
fruit crops, avocado sales start slow,
build and then decline at the end of the
season. Seasons and corresponding
market share for avocado include:
Primary season (January through
September), 93 percent of crop; preseason (November and December), 2.4
percent of crop; and post-season
(October), 4.6 percent of crop.
(Response) We agree with the
comment on the seasonal variation of fat
in avocados and reevaluated the total fat
and saturated fat levels for this final
rule. We used the seasonal market share
data that CAC provided along with their
nutrient data, combined these data with
those provided by USDA in response to
the 2002 proposed rule, and conducted
weighted compliance calculations based
on 95 percent prediction intervals (Ref.
8). The resulting nutrition labeling value
for saturated fat is 0.5 g. In addition, we
found that other nutrient levels changed
from those we published in the
reopening of the comment period for
total fat (4.5 g, 7 percent DV, from 5 g,
8 percent DV), calories from fat (35 from
45), total carbohydrate (3 g, 1 percent
DV, from 2 g, 1 percent DV), and iron
(2 percent DV from 0 percent DV).
We have also provided a correction in
this final rule in § 101.45(a)(3)(iii) that
‘‘* * * avocados contain 1 gram (g) of
fat per ounce’’ should read
‘‘* * * avocados contain 0.5 gram (g) of
saturated fat per ounce.’’ In addition, we
have revised the footnote that follows in
§ 101.45(a)(3)(iii) that states ‘‘avocados
provide 1 g of saturated fat per ounce’’
to read ‘‘avocados provide 0.5 g of
saturated fat per ounce.’’
We will make no changes to the
nutrition labeling values for dietary
fiber and potassium. We completed
weighted compliance calculations based
on 95 percent prediction intervals with
nutrient data submitted by CAC and
USDA, and determined that the 95
percent predicted value for dietary fiber
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15:39 Jul 24, 2006
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fell outside the interval of the raw data
points. We selected the mean value for
dietary fiber, with a resulting nutrition
labeling value of 1 g. For potassium, the
95 percent predicted value of 142.9 mg
fell within the interval of the raw data
points, so we selected the rounded
value of 140 mg for nutrition labeling.
Thus, FDA calculated final values for
dietary fiber and potassium, in accord
with the statistical methods described in
the 2002 proposed rule, the 2005
reopening of the comment period, and
in response to comments in this final
rule. Table 1 of this document includes
all changes in nutrition labeling values
for avocado, and Appendix C to part 101
provides the listing of all values.
c. Banana.
(Comment 22) The International
Banana Association (IBA), in response
to the 2005 reopening of the comment
period, questioned the accuracy of
FDA’s calculations for the 95 percent
prediction intervals for bananas.
Specifically, IBA recommended that the
nutrition labeling values for sodium,
dietary fiber, and sugars be 0 mg, 3 g,
and 16 g, respectively.
(Response) We agree that the nutrition
labeling values for sodium and dietary
fiber in banana should be changed to the
levels recommended by IBA (0 mg from
5 mg for sodium, and 3 g, 12 percent
DV, from 2 g, 8 percent DV for dietary
fiber) (Ref. 9). Based upon our review of
the USDA data submitted in response to
the 2002 proposed rule and
reassessment of 95 percent prediction
intervals, as discussed in section II.K.3
of this document, we determined that
there would be changes in the values for
sodium, fiber, and vitamin A (2 percent
DV from 0 percent DV). However, we
did not find reason to change the
nutrition labeling value for sugars and
have not changed the 19 g listed in
Appendix C to part 101. Table 1 of this
document provides changes in nutrition
labeling values for banana, and
Appendix C to part 101 lists all values.
d. Kiwifruit.
(Comment 23) Food Research Inc., on
behalf of kiwifruit growers that
combined represent an estimated 98.75
percent of all kiwifruit sold in the
United States, recommended that FDA
label total fat as 0.5 g (1 percent DV) per
serving. The comment stated that
because a large coefficient of variation
due to two high values in the USDA
data raise uncertainties, and because so
much of the sample information,
country of origin, and method of
analysis were not reported, it would be
more appropriate to use the results of
the Food Research Inc., study for the
basis of labeling total fat. In support of
their request, the comment provided
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42039
nutrient data for total fat in kiwifruit
from three of the countries they
represent, which account for 88 percent
of the kiwifruit sold in the United States
(Chile, the United States (California),
and New Zealand).
(Response) We do not agree with the
0.5 g (1 percent DV) total fat value
recommended by the comment. We
combined the data for total fat from the
kiwifruit research study (n=6) to data
provided by USDA in response to the
2002 proposed rule (n=8) and
conducted weighted compliance
calculations based on 95 percent
prediction intervals (Ref. 10). The
resulting nutrition labeling values for
total fat are 1 g, 2 percent DV, a change
from the 1.5 g, 2 percent DV published
in the 2005 reopening of the comment
period (see table 1 of this document).
Appendix C to part 101 provides the
listing of all nutrition labeling values for
kiwifruit.
e. Pear.
(Comment 24) The Pear Bureau
Northwest (Pear Bureau) submitted
market share data for four varieties of
pears and requested that FDA use these
data to weight the nutrient data
submitted by USDA in response to the
2002 proposed rule. The varieties and
market share include Bartlett (37
percent), Bosc (17 percent), Green Anjou
(2 percent), and Red Anjou (28 percent),
accounting for 84 percent of fresh pears
sold domestically. The Pear Bureau
requested nutrition labeling values for
dietary fiber and total carbohydrate be
updated to 5 g and 26 g, respectively.
(Response) We agree that the market
share data submitted by the Pear Bureau
should be used to weight the nutrient
data for pears. We reviewed the market
share data for pears submitted by the
Pear Bureau and used their market share
percentages to weight USDA nutrient
data for the four varieties of pears and
derive nutrition labeling values using
compliance calculations based on 95
percent prediction intervals (Ref. 11).
The resulting nutrition labeling values
include changes for potassium (190 mg
from 180 mg, both 5 percent DV), total
carbohydrate (26 g, 9 percent DV, from
25 g, 8 percent DV), dietary fiber (6 g,
24 percent DV, from 4 g, 16 percent DV),
protein (1 g from 0 g), and calcium (2
percent DV from 0 percent DV). Table 1
of this document includes changes in
nutrition labeling values for pear, and
Appendix C to part 101 provides the
listing of all values.
f. Strawberries.
(Comment 25) CSC requested
nutrition labeling values of 8 g for
sugars and 2 percent DV for calcium and
iron. In support of their request, CSC
submitted the results of analytical
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research conducted by Food Research,
Inc., to determine the sugars, calcium,
and iron content of fresh strawberries.
Twelve 16-oz containers or six 32-oz
containers of four brands of strawberries
were purchased in May 2005 and
delivered on the same day to the
laboratory for analysis.
(Response) We agree with the changes
recommended by CSC. We have
evaluated the CSC nutrient data,
combined those data with the data
USDA submitted in response to the
2002 proposed rule, and conducted
weighted compliance calculations based
on 95 percent intervals (Ref. 12). The
resulting nutrition labeling value for
sugars is 8 g (from 6 g) and for calcium
and iron is 2 percent DV (from 0 percent
DV). Table 1 of this document includes
changes in nutrition labeling values for
strawberries, and Appendix C to part
101 provides the listing of all values.
g. Potato.
(Comment 26) The U.S. Potato Board
(USPB) commented, in response to the
2002 proposed rule, that the 2000
market basket data that Ketchum (a
public relations firm) submitted to FDA
on their behalf and that FDA used in
proposing to update the nutrition
labeling values for potatoes in the 2002
proposed rule should not be used
because the data contain inaccuracies
due to unusually high moisture content
and did not represent the average potato
that a consumer would eat. USPB
recommended that FDA use the
preliminary data that USDA submitted
in response to the 2002 proposed rule,
as those data were more in line with the
nutrition labeling values for potato.
USPB also noted that the data in the
current USDA SR are more appropriate
for labeling purposes than the data that
they submitted and that we used in the
2002 proposed rule. USPB also, in
response to the 2005 reopening of the
comment period, requested that FDA
retain the current nutrition labeling and
not use the values that FDA published
in the 2005 reopening of the comment
period document, which were derived
from the new data that USDA submitted
in response to the 2002 proposed rule.
USPB said they saw no compelling
reason to have one set of data negatively
impact a nutrition label that has been
acceptable to FDA for the past 10 years.
(Response) We disagree with the
comment. We have determined that the
Produce Marketing Association nutrient
data we used to support the nutrition
labeling values for potato in the 1996
final rule were based upon nutrient data
analyzed in 1983 and 1984 and are not
likely to be valid because they are
outdated. In the 2005 reopening of the
comment period, we used new nutrient
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data for four types of potatoes that
USDA submitted in response to the
2002 proposed rule, and conducted
compliance calculations based on 95
percent prediction intervals to
determine nutrition labeling values (Ref.
13). Having received no additional
nutrient data for potato, we are using
these nutrition labeling values in
Appendix C to part 101 to replace the
nutrient data that are more than 20 years
old.
3. Changes to Nutrition Labeling Values
Based Upon Reassessment of 95 Percent
Prediction Intervals
As indicated in section II.K.1.a of this
final rule, upon completion of all
statistical analyses to calculate
compliance calculations based on 95
percent prediction intervals (Refs. 7
through 19), we reviewed all nutrient
data for all foods to determine if the 95
percent predicted value fell within the
range of the interval of all raw data
points for each nutrient and food. If the
nutrient level derived from the 95
percent prediction interval was selected
as the more appropriate nutrient value
(versus the mean), and that level fell
within the interval of all raw data
points, then we determined it would be
a reasonable choice to represent the
nutrient for the raw food. However, if
the nutrient level based on the 95
percent prediction interval did not fall
within the interval of all raw data
points, we determined the mean would
be a better estimate of the nutrient level
for the raw food. As a result of the
reassessment of all nutrient levels based
on 95 percent prediction intervals, we
updated the nutrient values for 11 of the
raw fruits and 9 of the raw vegetables:
Avocado (iron), banana (sodium, dietary
fiber, vitamin A), cantaloupe (calcium),
honeydew melon (calcium), lemon
(dietary fiber), nectarine (dietary fiber),
orange (vitamin A), pineapple (iron),
plums (dietary fiber, iron), strawberries
(calcium, iron), tangerine (sodium),
broccoli (total carbohydrate, protein,
iron), carrot (iron), celery (dietary fiber),
cucumber (calories, total carbohydrate,
protein), green onion (iron), mushrooms
(sodium), onion (potassium, calcium),
radishes (potassium), and tomato
(sodium). These changes are listed
among changes to nutrition labeling
values in table 1 of this document.
4. Summary of Changes for Fruits and
Vegetables
Table 1 of this document shows a
summary of the changes from the
nutrition labeling values for 25 raw
fruits and vegetables for this final rule
versus those published in the 2005
reopening of the comment period.
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L. Nutrition Labeling of Raw Fish
For the 2002 proposed rule, we
obtained new data from USDA NNDB
for cooked Atlantic salmon and rainbow
trout and for the following raw fish:
Catfish (only on fat content), flounder/
sole, orange roughy, coho and sockeye
salmon, shrimp, swordfish, tilapia, and
tuna. We also obtained new information
on the cooking yield for mollusks,
discovered a slight error in the raw
weight used to calculate the nutrient
values for finfish and crustaceans, and
obtained new data on nutrient retention
factors. Therefore, in addition to
updating the nutrient values based on
new data, we reanalyzed the data from
USDA NNDB for the remaining fish and
adjusted the nutrient values accordingly
(Ref. 20).
Chinook Salmon
(Comment 27) As indicated in section
II.J.2 of this document, two comments
recommended that FDA include
Chinook salmon along with Atlantic,
coho, and sockeye salmon and use
USDA nutrient data to support nutrition
labeling.
(Response) We obtained data for
Chinook salmon (raw) from the USDA
NNDB and added those data to the
USDA NNDB data we already had for
Atlantic salmon (cooked, farmed); coho
salmon (raw, farmed); sockeye salmon
(raw). We subjected the data to FDA
compliance calculations where possible
using 95 percent prediction intervals
and used the data in deriving the
nutrition labeling values for these fish
(Ref. 20).
There were no changes in nutrition
labeling values for fish in this final rule
as compared with those in the 2005
reopening of the comment period.
Appendix D to part 101 contains a
comprehensive listing of all raw fish
and all nutrients in the voluntary
nutrition labeling program.
M. Effective Date
(Comment 28) One comment opposed
the proposed changes because they will
result in unnecessary reprinting costs to
industry and those producing nutrition
education materials.
(Response) FDA periodically
establishes, by final rule in the Federal
Register, uniform effective dates for
compliance with food labeling
regulations (see, e.g., the Federal
Register of December 23, 1998 (63 FR
71015)). This final rule will become
effective in accordance with the uniform
effective date for compliance with food
labeling requirements, which is January
1, 2008. However, we will not object to
voluntary compliance immediately
upon publication of the final rule. We
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resources to redesign signs near produce
items at retail outlets. These
expenditures will be voluntary, and we
assume that no firms will make them if
they do not judge that it is in their best
interests to do so. These are considered
in this analysis in order to quantify the
extent to which nutrition updates likely
influence resource expenditures.
While there were no comments on the
estimate costs in the proposed
guidelines, we used 2003 County
Business Pattern (CBP) data (Ref. 21)
collected by the U.S. Census Bureau to
update estimates of the number of firms
that will voluntarily change signs
because of these guidelines. There are
approximately 67,000 supermarkets
under the North American Industry
Classification System (NAICS) code
44511, approximately 2,000 fish and
seafood markets under NAICS 44522,
approximately 3,000 fruits and
vegetables markets under NAICS 44523,
and approximately 15,000 other
specialty markets under NAICS 44529.
We assume that many of the markets in
NAICS codes 44522, 44523, and 44529
have annual sales of less than $500,000
and therefore have been exempted by
Congress from coverage by these
guidelines. We use the number of
supermarkets in NAICS 44511 as a low
estimate of the number of
establishments under consideration, and
all establishments in NAICS codes
44522, 44523, and 44529 as well as
believe that the effective date should
allow industry and nutrition educators
adequate time to update nutrition
labeling information.
III. Final Regulatory Impact Analysis
FDA has examined the impacts of the
final rule under Executive Order 12866.
Executive Order 12866 directs agencies
to assess all costs and benefits of
available regulatory alternatives and,
when regulation is necessary, to select
regulatory approaches that maximize
net benefits (including potential
economic, environmental, public health
and safety, and other advantages;
distributive impacts; and equity). The
agency believes that this final rule is not
a significant regulatory action under the
Executive order.
Option 1 of this document is for no
new regulatory action, and provides the
baseline with which all other options
are compared. Option 2 of this
document is for the provision of
updated nutrition information based on
the current data and methodology for
computation.
Option 1: No New Regulatory Action
There would be no costs or benefits if
no new regulatory action were taken to
update the nutrition information for the
20 most frequently consumed raw fruits,
vegetables, and fish.
Option 2: Costs of Updated Guidelines
We anticipate, as a result of these
guidelines, that some firms will expend
44511 as an upper bound. Based on the
most recent survey of adoption of our
guidelines, we assume that 72 percent of
establishments (between 48,000 and
63,000 establishments) will continue to
choose to follow these guidelines.
We estimated the total voluntary
expenditures using the revised number
of establishments, and the assumptions
of expenditure per establishment.
Consistent with the methodology used
in the 2002 proposed rule, we assume
a normal cycle for retailers to redesign
their labels to be once every 3 years, and
that one-half of the 48,000 to 68,000
stores would redesign after the third
year following publication of these
guidelines. The updating cost
expenditures for a partial redesign,
incurred in the first and second years,
are assumed to be $50 per store, and the
updating costs of a full redesign,
incurred in the third year, are assumed
to be $100 per store. Table 2 of this
document shows these assumptions and
estimates. We compute the present
value of total expenditures for each year
using both a 7 percent and 3 percent
discount rate. The present value of the
total of voluntary expenditures is
between $3,257,000 for the low estimate
assuming a 7 percent discount rate, and
$4,593,000 for the high assuming a 3
percent discount rate (i.e., the sum of
the present values of the expenditures
in rows (e) and (f) of table 2 of this
document for 2006, 2007, and 2008).
TABLE 2.—ADOPTION SCHEDULE AND VOLUNTARY EXPENDITURES
Adoption Schedule and Voluntary Expenditures
(a) Adoption Year
2006
(b) Number of Stores
2007
2008
12,000 to 16,000
12,000 to 16,000
24,000 to 32,000
$50
$50
$100
(d) Total Expenditures
$600,000 to $800,000
$600,000 to $800,000
$2,400,000 to $3,200,000
(e) Present Value (assuming a 7% discount rate)
(f) Present Value (assuming a 3% discount rate)
$600,000 to $800,000
$561,000 to $736,000
$2,096,000 to $2,800,000
$600,000 to $800,000
$582,000 to $761,000
$2,262,000 to $2,970,000
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(c) Expenditures per
Store
Option 2: Benefits of the Updated
Guidelines
The benefits from updating nutrition
information on the 20 most frequently
consumed raw fruits, vegetables, and
fish derive from maintaining the
accuracy of the information over the
long term, and giving consumers current
information to use in making healthful
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dietary choices. The larger the
difference between the updated
information and the current
information, the more likely that
consumption behavior will change if
consumers are aware of the changes
made in this final rule. A greater change
in behavior is likely to provide greater
potential for improved dietary choices.
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The potential for this particular
update to improve dietary choices is
likely to be small since modest changes
in the nutrient profile of a food are
likely to have a small influence on the
demand for that food. Table 3 of this
document summarizes the extent of
changes in foods and the nutrient
profiles in the proposed and final rules.
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TABLE 3.—CHANGES TO GUIDELINES IN PROPOSED RULE AND FINAL RULE
Changes to Guidelines in Proposed Rule1
Fruits and Vegetables
Changes to Guidelines in Final Rule2
Fish
Fruits and Vegetables
No. of foods with changes
21
21
20
No. of nutrients with changes
40
107
38
1Computed
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2Computed
from values in tables 1 and 2 of the 2002 proposed rule.
from the values in this final rule.
The substantial changes made in this
final rule to the current nutrition
information indicate the importance of
updates in nutrition information. We
proposed changes for approximately
one-half of all of the most frequently
consumed varieties of fruits, vegetables,
and fish, with an average number of
revisions to nutrient information per
food item of approximately two for
fruits and vegetables (i.e., 40 nutrients /
21 whole food items) and approximately
five for fish (i.e., 107 nutrients / 21
whole food items). The guidelines in
this final rule contain additional
revisions for one-half of all of the most
frequently consumed fruits and
vegetables, with an average of
approximately 2 revised nutrients per
revised food item (i.e., 38 nutrients / 20
whole food items).
Consumers may use this updated
information in making their dietary
choices. If they use it, the updated
information will allow them to be more
effective at achieving the results that
they intend than if they were using
outdated information. We are not able to
quantify the benefit that having this
updated information will provide.
Because only substantial compliance
with these guidelines is mandated by
the statute, aggregate costs may be less
than would occur if they were
mandatory for all establishments.
Moreover, confusion on the part of
consumers may arise during the
transition period as retail stores adopt
these guidelines at different times.
Confusion may arise, for example, if one
store displayed an updated set of
nutrient values while another store
displayed an out-dated set of nutrient
values for otherwise identical raw fruits,
vegetables, or fish. Any such confusion
will reduce the benefit of updating the
values in these guidelines.
As discussed previously in this
document, the unquantified benefits of
providing accurate information for
consumers to use in making their
dietary choices are believed to outweigh
the costs associated with this rule.
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IV. Final Regulatory Flexibility
Analysis
FDA has examined the impacts of the
final rule under the Regulatory
Flexibility Act (5 U.S.C. 601–612). The
Regulatory Flexibility Act requires
agencies to analyze regulatory options
that would minimize any significant
impact of a rule on small entities.
Although many of the estimated 48,000
to 63,000 stores that may choose to
update their nutrition displays are small
entities, because these guidelines are
voluntary, no small entity would be
required to display the information set
forth here. Consequently, the agency
certifies that the final rule will not have
a significant economic impact on a
substantial number of small entities.
V. Unfunded Mandates
FDA has examined the impacts of the
final rule under the Unfunded Mandates
Reform Act of 1995 (Public Law 104–4).
Section 202(a) of the Unfunded
Mandates Reform Act of 1995 requires
that agencies prepare a written
statement, which includes an
assessment of anticipated costs and
benefits, that includes any ‘‘Federal
mandate that may result in the
expenditure by State, local, and tribal
governments, in the aggregate, or by the
private sector, of $100,000,000 or more
(adjusted annually for inflation) in any
one year.’’ The current threshold after
adjustment for inflation is $115 million,
using the most current (2003) Implicit
Price Deflator for the Gross Domestic
Product. FDA does not expect this final
rule to result in any 1-year expenditure
that would meet or exceed this amount.
VI. Small Business Regulatory
Enforcement Fairness Act of 1996
(SBREFA)
SBREFA (Public Law 104–121)
defines a major rule for the purpose of
congressional review as having caused
or being likely to cause one or more of
the following: An annual effect on the
economy of $100 million or more; a
major increase in costs or prices;
significant adverse effects on
competition, employment, productivity,
or innovation; or significant adverse
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effects on the ability of U.S.-based
enterprises to compete with foreignbased enterprises in domestic or export
markets. In accordance with SBREFA,
OMB has determined that this final rule
is not a major rule for the purpose of
congressional review.
VII. Paperwork Reduction Act of 1995
FDA concludes that this final rule
contains no collection of information.
Therefore clearance by OMB under the
Paperwork Reduction Act of 1995 is not
required.
VIII. Analysis of Environmental Impact
We have determined under 21 CFR
25.30(k) that this action is of a type that
does not individually or cumulatively
have a significant effect on the human
environment. Therefore, neither an
environmental assessment nor an
environmental impact statement is
required.
IX. Federalism
FDA has analyzed this final rule in
accordance with the principles set forth
in Executive Order 13132. FDA has
determined that the rule will have a
preemptive effect on State law. Section
4(a) of the Executive order requires
agencies to ‘‘construe * * * a Federal
statute to preempt State law only where
the statute contains an express
preemption provision or there is some
other clear evidence that the Congress
intended preemption of State law, or
where the exercise of State authority
conflicts with the exercise of Federal
authority under the Federal statute.’’
Section 403A of the act (21 U.S.C. 343–
1) is an express preemption provision.
Section 403A(a)(4) of the act provides
that ‘‘no State or political subdivision of
a State may directly or indirectly
establish under any authority or
continue in effect as to any food in
interstate commerce— * * * (4) any
requirement for the voluntary nutrition
labeling of food that is not identical to
the requirement of section 403(q).’’
Currently, this provision operates to
preempt States from imposing nutrition
labeling requirements for raw fruits,
vegetables, and fish because no such
requirement had been imposed by FDA
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Federal Register / Vol. 71, No. 142 / Tuesday, July 25, 2006 / Rules and Regulations
under section 403(q) of the act. This
final rule amends existing food labeling
regulations by updating the names and
the nutrition labeling values for the 20
most frequently consumed raw fruits,
vegetables, and fish in the United States
and by revising the guidelines for
further clarity and consistency.
Although this rule would have a
preemptive effect, in that it would
preclude States from issuing any
nutrition labeling requirements for raw
fruits, vegetables, and fish that are not
identical to those required by this final
rule, this preemptive effect is consistent
with what Congress set forth in section
403A of the act. Section 403A(a)(5) of
the act displaces both State legislative
requirements and State common law
duties.
FDA believes that the preemptive
effect of the final rule would be
consistent with Executive Order 13132.
Section 4(e) of the Executive Order
provides that ‘‘when an agency proposes
to act through adjudication or
rulemaking to preempt State law, the
agency shall provide all affected State
and local officials notice and an
opportunity for appropriate
participation in the proceedings.’’ FDA
provided the States with an opportunity
for appropriate participation in this
rulemaking when it sought input from
all stakeholders through publication of
the proposed rule in the Federal
Register of March 20, 2002 (67 FR
12918), and the reopening of the
comment period on April 4, 2005 (70 FR
16995). FDA received no comments
from any States on the proposed
rulemaking.
In addition, on May 16, 2006, FDA’s
Division of Federal and State Relations
provided notice via fax and e-mail
transmission to State health
commissioners, State agriculture
commissioners, food program directors,
and drug program directors as well as
FDA field personnel of FDA’s intended
final rule to update the guidelines for
the voluntary nutrition labeling of raw
fruits, vegetables, and fish. The notice
provided the States with further
opportunity for input on the rule. It
advised the States of the publication of
the final rule and encouraged State and
local governments to review the notice
and to provide any comments to the
docket (Docket No. 2001N–0548) by
June 28, 2006, or to contact certain
named individuals. FDA received no
comments in response to this notice.
The notice has been filed in the above
numbered docket.
In conclusion, the agency believes
that it has complied with all of the
applicable requirements under the
Executive order and has determined that
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15:39 Jul 24, 2006
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the preemptive effects of this rule are
consistent with Executive Order 13132.
X. References
The following references have been
placed on display in the Division of
Dockets Management (HFA–305), Food
and Drug Administration, 5630 Fishers
Lane, rm. 1061, Rockville, MD 20852
and may be seen by interested persons
between 9 a.m. and 4 p.m., Monday
through Friday. (FDA has verified the
Web site addresses, but we are not
responsible for subsequent changes to
the Web sites after this document
publishes in the Federal Register.)
1. U.S. Department of Agriculture,
Agricultural Research Service, USDA
Nutrient Database for Standard Reference,
Release 18, 2005. Available on the Internet at
USDA’s Nutrient Data Laboratory Home Page,
https://www.ars.usda.gov/main/
site_main.htm?modecode=12354500.
2. U.S. Department of Agriculture, National
Nutrient Data Bank, maintained at the
Nutrient Data Laboratory, Agricultural
Research Service, Beltsville Human Nutrition
Research Center, Beltsville, MD.
3. Bender, M. M., J. I. Rader, and F. D.
McClure, ‘‘Guidance for Industry, FDA
Nutrition Labeling Manual—A Guide for
Developing and Using Databases,’’ Center for
Food Safety and Applied Nutrition, FDA,
1998. Available on the Internet at https://
vm.cfsan.fda.gov/dms/nutrguid.html.
4. U.S. Department of Health and Human
Services and U.S. Department of Agriculture,
Dietary Guidelines for Americans, 2005, 6th
ed. Washington DC: U.S. Government
Printing Office, January, 2005. Available on
the Internet at https://www.healthierus.gov/
dietaryguidelines/.
5. Retail Diagnostics, Inc., Food and Drug
Administration Nutrition Labeling
Information Study December 1996, Oradell,
NJ, March 10, 1997.
6. Brandt, M. M. ‘‘Documentation for the
Nutrition Labeling Values for the 20 Most
Frequently Consumed Raw Fruits,
Vegetables, and Fish,’’ Center for Food Safety
and Applied Nutrition, FDA, January 2006.
7. O’Neill, K. R., ‘‘Statistical Derivation of
Nutrition Label for Raw Apples from 2001–
2002 United States Department of
Agriculture (USDA) Agricultural Research
Service (ARS) Nutrient Data Laboratory
(NDL) Data and U.S. Apple Association Data
for Raw Red Delicious, Golden Delicious,
Granny Smith, Gala, and Fuji Apples by
Weighting by Market Share,’’ Center for Food
Safety and Applied Nutrition, FDA, 2006.
8. O’Neill, K. R., ‘‘Statistical Derivation of
Raw Avocado Nutrition Label for Appendix
C to Part 101: Nutrition Facts for Raw Fruits
and Vegetables,’’ Center for Food Safety and
Applied Nutrition, FDA, 2005.
9. O’Neill, K. R., ‘‘Statistical Derivation of
Nutrition Labels for Raw Banana, Raw
Cantaloupe, Raw Sweet Cherries, Raw
Honeydew Melon, and Raw Watermelon
from 2001–2002 United States Department of
Agriculture (USDA) Agricultural Research
Service (ARS) Nutrient Data Laboratory
(NDL) Data under the Assumption of Simple
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Random Sample (SRS),’’ Center for Food
Safety and Applied Nutrition, FDA, 2005.
10. O’Neill, K. R., ‘‘Statistical Derivation of
Nutrition Label for Raw Kiwifruit from 2001–
2002 United States Department of
Agriculture (USDA) Agricultural Research
Service (ARS) Nutrient Data Laboratory
(NDL) and 2005 Food Research Institute, Inc.
(FRI) Data Weighted by Variability,’’ Center
for Food Safety and Applied Nutrition, FDA,
2005.
11. O’Neill, K. R., ‘‘Statistical Derivation of
Nutrition Label for Raw Pears from 2001–
2002 United States Department of
Agriculture (USDA) Agricultural Research
Service (ARS) Nutrient Data Laboratory
(NDL) Data for Raw Bartlett, Bosc, Red
Anjou, and Green Anjou Pears by Weighting
by Market Share,’’ Center for Food Safety and
Applied Nutrition, FDA, 2005.
12. O’Neill, K. R., ‘‘Statistical Derivation of
Nutrition Label for Raw Strawberries from
2001–2002 United States Department of
Agriculture (USDA) Agricultural Research
Service (ARS) Nutrient Data Laboratory
(NDL) and 1999–2000 California Strawberry
Commission (CSC) Data Weighted by
Variability,’’ Center for Food Safety and
Applied Nutrition, FDA, 2005.
13. O’Neill, K. R., ‘‘Statistical Derivation of
Nutrition Label for Raw Potatoes from 2001–
2002 United States Department of
Agriculture (USDA) Agricultural Research
Service (ARS) Nutrient Data Laboratory
(NDL) Data for Raw Russet, White, and Red
Potatoes by Weighting by Market Share,’’
Center for Food Safety and Applied
Nutrition, FDA, 2005.
14. O’Neill, K. R., ‘‘Statistical Derivation of
Nutrition Labels for Raw Broccoli, Raw
Carrots, Raw Celery, Raw Cucumber, Raw
Green Pepper, Raw Iceberg Lettuce, Raw
White Mushrooms, Raw Yellow Onions, Raw
Radishes, Raw Sweet Potatoes, and Raw
Tomatoes Derived from 2001–2002 United
States Department of Agriculture (USDA)
Agricultural Research Service (ARS) Nutrient
Data Laboratory (NDL) Data under the
Assumption of Simple Random Sample
(SRS),’’ Center for Food Safety and Applied
Nutrition, FDA, 2005.
15. O’Neill, K. R., ‘‘Statistical Derivation of
Nutrition Label for Raw Yellow Nectarines,
Raw Yellow Peaches, and Raw Plums from
2001–2002 United States Department of
Agriculture (USDA) Agricultural Research
Service (ARS) Nutrient Data Laboratory
(NDL) Data and 1999–2000 California Tree
Fruit Agreement (CTFA) Data Weighted by
Variability,’’ Center for Food Safety and
Applied Nutrition, FDA, 2005.
16. O’Neill, K. R., ‘‘Statistical Derivation of
Nutrition Label for Raw Pineapples from
2001–2002 United States Department of
Agriculture (USDA) Agricultural Research
Service (ARS) Nutrient Data Laboratory
(NDL) Data by Weighting by Market Share,’’
Center for Food Safety and Applied
Nutrition, FDA, 2005.
17. O’Neill, K. R., ‘‘Statistical Derivation of
Nutrition Label for Raw Leaf Lettuce from
2001–2002 United States Department of
Agriculture (USDA) Agricultural Research
Service (ARS) Nutrient Data Laboratory
(NDL) Data for Raw Red and Green Leaf
Lettuce Weighted by Variability,’’ Center for
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Federal Register / Vol. 71, No. 142 / Tuesday, July 25, 2006 / Rules and Regulations
Food Safety and Applied Nutrition, FDA,
2005.
PART 101—FOOD LABELING
1. The authority citation for 21 CFR
part 101 continues to read as follows:
I
18. O’Neill, K. R., ‘‘Statistical Derivation of
Nutrition Label for Raw Lemons and
Tangerines from 1989–1991 Produce
Marketing Association (PMA) and 1998
Citrus Research Board (CRB) Data under the
Assumption of Simple Random Sample
(SRS),’’ Center for Food Safety and Applied
Nutrition, FDA, 2005.
19. O’Neill, K. R., ‘‘Statistical Derivation of
Nutrition Label for Raw Red Grapefruit and
Naval and Valencia Oranges from 2001–2002
United States Department of Agriculture
(USDA) and 1998 Citrus Research Board
(CRB) Data under the Assumption of Simple
Random Sample (SRS),’’ Center for Food
Safety and Applied Nutrition, FDA, 2005.
20. O’Neill, K. R., ‘‘Statistical Derivation of
Nutrition Labeling from USDA Data for
Appendix D to Part 101: Nutrition Facts for
Cooked Seafood,’’ Center for Food Safety and
Applied Nutrition, FDA, 2005.
21. U.S. Census Bureau, 2002 Economic
Census, American FactFinder, Geographic
Area Series: Summary Statistics. Available
on the Internet at https://
factfinder.census.gov/home/saff/
main.html?_lang=en.
List of Subjects in 21 CFR Part 101
Food labeling, Nutrition, Reporting
and recordkeeping requirements.
Therefore, under the Federal Food,
Drug, and Cosmetic Act and under
authority delegated to the Commissioner
of Food and Drugs, FDA proposes to
amend 21 CFR part 101 as follows:
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Authority: 15 U.S.C. 1453, 1454, 1455; 21
U.S.C. 321, 331, 342, 343, 348, 371; 42 U.S.C.
243, 264, 271.
2. Section 101.44 is revised to read as
follows:
I
§ 101.44 What are the 20 most frequently
consumed raw fruits, vegetables, and fish
in the United States?
(a) The 20 most frequently consumed
raw fruits are: Apple, avocado
(California), banana, cantaloupe,
grapefruit, grapes, honeydew melon,
kiwifruit, lemon, lime, nectarine,
orange, peach, pear, pineapple, plums,
strawberries, sweet cherries, tangerine,
and watermelon.
(b) The 20 most frequently consumed
raw vegetables are: Asparagus, bell
pepper, broccoli, carrot, cauliflower,
celery, cucumber, green (snap) beans,
green cabbage, green onion, iceberg
lettuce, leaf lettuce, mushrooms, onion,
potato, radishes, summer squash, sweet
corn, sweet potato, and tomato.
(c) The 20 most frequently consumed
raw fish are: Blue crab, catfish, clams,
cod, flounder/sole, haddock, halibut,
lobster, ocean perch, orange roughy,
oysters, pollock, rainbow trout, rockfish,
salmon (Atlantic/coho/Chinook/
sockeye, chum/pink), scallops, shrimp,
swordfish, tilapia, and tuna.
I 3. Amend § 101.45 by revising
paragraph (a)(3)(iii) and adding
paragraph (a)(3)(iv) to read as follows:
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§ 101.45 What are the guidelines for the
voluntary nutrition labeling of raw fruits,
vegetables, and fish?
(a) * * *
(3) * * *
(iii) When retailers provide nutrition
labeling information for more than one
raw fruit or vegetable on signs or posters
or in brochures, notebooks, or leaflets,
the listings for saturated fat, trans fat,
and cholesterol may be omitted from the
charts or individual nutrition labels if a
footnote states that most fruits and
vegetables provide negligible amounts
of these nutrients, but that avocados
contain 0.5 gram (g) of saturated fat per
ounce (e.g., ‘‘Most fruits and vegetables
provide negligible amounts of saturated
fat, trans fat, and cholesterol; avocados
provide 0.5 g of saturated fat per
ounce’’). The footnote also may contain
information about the polyunsaturated
and monounsaturated fat content of
avocados.
(iv) When retailers provide nutrition
labeling information for more than one
raw fish on signs or posters or in
brochures, notebooks, or leaflets, the
listings for trans fat, dietary fiber, and
sugars may be omitted from the charts
or individual nutrition labels if the
following footnote is used, ‘‘Fish
provide negligible amounts of trans fat,
dietary fiber, and sugars.’’
*
*
*
*
*
I 4. Appendices C and D to part 101 are
revised to read as follows:
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Dated: July 18, 2006.
Jeffrey Shuren,
Assistant Commissioner for Policy.
[FR Doc. 06–6436 Filed 7–24–06; 8:45 am]
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Federal Register / Vol. 71, No. 142 / Tuesday, July 25, 2006 / Rules and Regulations
Agencies
[Federal Register Volume 71, Number 142 (Tuesday, July 25, 2006)]
[Rules and Regulations]
[Pages 42031-42047]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 06-6436]
=======================================================================
-----------------------------------------------------------------------
DEPARTMENT OF HEALTH AND HUMAN SERVICES
Food and Drug Administration
21 CFR Part 101
[Docket No. 2001N-0548] (formerly Docket No. 01N-0548)
Food Labeling; Guidelines for Voluntary Nutrition Labeling of Raw
Fruits, Vegetables, and Fish
AGENCY: Food and Drug Administration, HHS.
ACTION: Final rule.
-----------------------------------------------------------------------
SUMMARY: The Food and Drug Administration (FDA) is amending the
voluntary nutrition labeling regulations by updating the names and the
nutrition labeling values for the 20 most frequently consumed raw
fruits, vegetables, and fish in the United States and clarifying
guidelines for the voluntary nutrition labeling of these foods.
Availability of the updated nutrition labeling values in retail stores
and on individually packaged raw fruits, vegetables, and fish will
enable consumers to make better purchasing decisions to reflect their
dietary needs.
EFFECTIVE DATE: January 1, 2008.
FOR FURTHER INFORMATION CONTACT: Mary Brandt, Center for Food Safety
and Applied Nutrition (HFS-840), Food and Drug Administration, 5100
Paint Branch Pkwy., College Park, MD 20740, 301-436-1788.
SUPPLEMENTARY INFORMATION:
Table of Contents
I. Background
II. Comments on the 2002 Proposed Rule and 2005 Reopening of the
Comment Period
A. General Comments
B. Consistency Among Government Agencies in Providing Nutrient
Information
C. Need for Additional Research and Data
D. Consumer Support for Labeling of Raw Fruits, Vegetables, and
Fish
E. Allowable Nutrient Content Claims
F. Declaration of ``Vitamin A'' or ``Carotenoid''
G. Updating of Reference Amounts
H. Inclusion of Magnesium in Nutrition Labeling
I. Guidelines for Presentation of the Nutrition Labeling Values
1. Clarity in Guidelines for Raw Fruits and Vegetables and for
Raw Fish
2. Trans Fatty Acid Labeling
J. Identification of the 20 Most Frequently Consumed Raw Fruits,
Vegetables, and Fish in the United States
1. Fruits and Vegetables
2. Fish
K. Nutrition Labeling Values for the 20 Most Frequently Consumed
Raw Fruits, Vegetables, and Fish
1. FDA Analysis of Data
a. 95 Percent Prediction Intervals
b. Precision in Estimates
c. Adjusting Values for Total Carbohydrate
2. Nutrition Labeling of Raw Fruits and Vegetables
a. Apple
b. Avocado
c. Banana
d. Kiwifruit
e. Pear
f. Strawberries
g. Potato
3. Changes to Nutrition Labeling Values Based Upon Reassessment of
95 Percent Prediction Intervals
4. Summary of Changes for Fruits and Vegetables
L. Nutrition Labeling of Raw Fish
M. Effective Date
III. Final Regulatory Impact Analysis
IV. Final Regulatory Flexibility Analysis
V. Unfunded Mandates
VI. Small Business Regulatory Enforcement Fairness Act of 1996
(SBREFA)
VII. Paperwork Reduction Act of 1995
VIII. Analysis of Environmental Impact
IX. Federalism
X. References
I. Background
In response to requirements of the Nutrition Labeling and Education
Act of 1990 (``the 1990 amendments'') (Public Law 101-135), which
amended the Federal Food, Drug, and Cosmetic Act (the act), FDA (we)
published final regulations in the Federal Register of November 27,
1991 (56 FR 60880) (hereinafter identified as ``the 1991 final rule''),
and corrections in the Federal Registers of March 6, 1992 (57 FR 8174),
and March 26, 1992 (57 FR 10522), that: (1) Identified the 20 most
frequently consumed raw fruits, vegetables, and fish in the United
States, which are those varieties purchased raw but not necessarily
consumed raw; (2) established guidelines for the voluntary nutrition
labeling of these foods; and (3) set the criteria for food retailers to
meet substantial compliance with these guidelines. The 1991 final rule
also required FDA to publish proposed updates of the nutrition labeling
data for the 20 most frequently consumed raw fruits, vegetables, and
fish (or a notice
[[Page 42032]]
that the data sets have not changed) at least every 2 years (56 FR
60880 at 60888 and 60891).
Next, FDA published a proposed rule on the voluntary nutrition
labeling program in the Federal Register of July 18, 1994 (59 FR 36379)
(hereinafter identified as ``the 1994 proposed rule''), a correction in
the Federal Register of July 21, 1994 (59 FR 37190), and a final rule
in the Federal Register of August 16, 1996 (61 FR 42742) (hereinafter
identified as ``the 1996 final rule''). In the 1996 final rule, among
other actions, FDA revised the following: (1) The nutrition labeling
values for the 20 most frequently consumed raw fruits, vegetables, and
fish in the United States and (2) the guidelines for the voluntary
nutrition labeling of these foods. FDA also modified the guidelines in
Sec. 101.45(b) (21 CFR 101.45(b)), in response to comments, to state
that FDA would publish every 4 years (rather than 2 years) proposed
updates of the nutrition data or a notice that the data sets have not
changed from the previous publication (comment 12, 61 FR 42742 at 42746
and 42760).
FDA then published a proposed rule on the voluntary nutrition
labeling program in the Federal Register of March 20, 2002 (67 FR
12918) (hereinafter identified as ``the 2002 proposed rule''), and a
correction to the Docket number and extension of the comment period in
the Federal Register of June 6, 2002 (67 FR 38913). The 2002 proposed
rule: (1) Updated the names and nutrition labeling values for the 20
most frequently consumed raw fruits, vegetables, and fish in the United
States and (2) clarified the guidelines for the voluntary nutrition
labeling of these foods. Subsequently, FDA again reopened the comment
period until June 3, 2005 (70 FR 16995, April 4, 2005) (hereinafter
identified as ``the 2005 reopening of the comment period''), to allow
all interested parties the opportunity to review its tentative
nutrition labeling values based upon data FDA received within and after
the comment period for the 2002 proposed rule, and to comment on the
additional nutrient data for some of the 20 most frequently consumed
raw fruits, vegetables, and fish. FDA also stated that it would
evaluate any new data submissions during the reopened comment period
and would consider use of those data in a final rule.
II. Comments on the 2002 Proposed Rule and 2005 Reopening of the
Comment Period
FDA received 21 responses to the 2002 proposed rule and 30
responses to the tentative nutrition labeling values set forth in its
2005 reopening of the comment period document, each of which contained
one or more comments. New data also were submitted in response to the
2005 reopening of the comment period. Comments generally supported the
2002 proposed rule, including the new values set forth in the 2005
reopening of the comment period document. A number of comments that
were received are not considered here because they are beyond the scope
of this regulation, including those comments on labeling of meat,
poultry, and pork products; labeling of possible positive or ill side
effects of consuming raw produce and fish; expiration dating; physical
exercise; inclusion of additional nutrients and amino acids; protection
of the public from profiteers; genetically modified products; pesticide
residues, chemicals, and processes; and monosodium glutamate (MSG).
Several comments suggested modification and revision in various
provisions of the 2002 proposed rule, as revised by the 2005 reopening
of the comment period. These latter comments are discussed in detail in
this section of the document.
To make it easier to identify comments and FDA's responses to the
comments, the word ``Comment'' will appear in parenthesis before the
description of the comment, and the word ``Response'' will appear in
parenthesis before FDA's response. We have also numbered each comment
to make it easier to identify a particular comment. The number assigned
to each comment is purely for organizational purposes and does not
signify the comment's value or importance or the order in which it was
submitted.
A. General Comments
(Comment 1) One comment, which supported the agency's efforts to
establish accurate, meaningful nutrition information, requested that
FDA post this information on its Web site and permit retailers who have
developed Web sites to incorporate links from the retailer Web site to
the FDA nutrition information.
(Response) FDA agrees with this suggestion and has posted the
nutrition labeling values on the Internet at www.cfsan.fda.gov. We
encourage retailers, industry, trade associations, academia, and other
government agencies to provide links to that information.
B. Consistency Among Government Agencies in Providing Nutrient
Information
(Comment 2) Several comments expressed concern that the proposed
changes to some of the nutrient values appear inconsistent from the
U.S. Department of Agriculture (USDA) Nutrient Database for Standard
Reference (SR) (Ref. 1) and from its data source, the USDA National
Nutrient Data Bank (NNDB) (Ref. 2). One comment suggested that whenever
possible, FDA should consider SR values in addition to the agency's own
95 percent prediction limit when determining label values.
(Response) FDA agrees that some of its nutrient values differ from
data found in the USDA SR and NNDB. As we explained in the 1996 final
rule (61 FR 42742 at 42743), FDA does not agree that mean values from
USDA databases are appropriate for nutrition labeling.
We support use of the USDA NNDB and associated USDA SR for many
nutritional purposes and recognize the USDA SR as the most
comprehensive nutrient database in the United States and the basis of
much nutrition software. For this reason, we have used all data
submitted by USDA to update the nutrition labeling values for raw
fruits and vegetables, including the data from its 2001-2002 nationwide
sampling study of fruits and vegetables for 16 of the 20 most
frequently consumed raw fruits and 12 of the 20 most frequently
consumed raw vegetables that it submitted in response to the 2002
proposed rule (see https://www.fda.gov/ohrms/dockets/dailys/02/Aug02/
080602/01n-0548-c000006-vol1.pdf) and (see https://www.fda.gov/OHRMS/
DOCKETS/98fr/01n-0548-bkg0002-03-Tab-01-vol4.pdf) and its data for raw
mushrooms in response to the 2005 reopening of the comment period, as
well as data from other sources, as described later in this final rule.
In addition, we used data from the USDA NNDB to establish nutrient
levels for Chinook salmon in response to comments to the 2002 proposed
rule. Raw nutrient data (individual analytical data points) from the
USDA NNDB also provide the basis of the nutrient levels for most of the
raw fish. Because of the lack of data for vitamin A and vitamin C in
raw fish, we have based the values for most fish in the voluntary
nutrition labeling program on data published in the USDA SR, which are
mean values.
As stated in the 1996 final rule (61 FR 42742 at 42743), some of
USDA's food composition data published in the SR are not fully
representative because they are based on small sample sizes or do not
take into account specific variables, such as geographic area. We
obtained data for many of the raw fruits, vegetables, and fish from the
USDA NNDB and SR, but, where possible, instead of using the mean
values, we
[[Page 42033]]
applied compliance calculations based on 95 percent prediction
intervals to those data (as well as to other data sources) and used the
resulting adjusted values that account for variability in the nutrient.
To meet the requirements for compliance in Sec. 101.9(g)(4) and
(g)(5) (21 CFR 101.9(g)(4) and (g)(5)), the agency encourages
manufacturers to use FDA compliance calculations based on 95 percent
prediction intervals to determine the nutrition labeling values for
their products. We provide guidance explaining this calculation and for
industry to use to develop nutrition labeling values in the ``FDA
Nutrition Labeling Manual--A Guide for Developing and Using Databases''
(the Nutrition Labeling Manual) (Ref. 3). The Nutrition Labeling Manual
more fully explains the rationale and process for conducting and using
compliance calculations based upon 95 percent prediction intervals.
(Comment 3) Several comments stated that it is important to have
consistency in the nutrition information that is communicated to the
public and that FDA should do more to bring greater harmony among the
government's nutrition information, including ensuring that nutrient
values are consistent with the nutrition messages publicized by the
2005 Dietary Guidelines for Americans.
(Response) We believe it is important to have consistency in the
nutrition information that is communicated to the public; however,
there are some fundamental differences in the nutrient values being
established in this final rule and the nutrition messages publicized by
the 2005 Dietary Guidelines for Americans. The Dietary Guidelines for
Americans (Ref. 4) recommends the increased intake of fruits,
vegetables, and fish and cites nutrient data from the USDA SR in the
report that they released January 12, 2005. The data provided by the
2005 Dietary Guidelines for Americans were mean values per 100 gram (g)
of product and were not on the same metric as the nutrition labeling
values in Appendices C and D to part 101 (21 CFR part 101), which are
provided on a serving size basis and are required in Sec. 101.45(b)
for labeling of the 20 most frequently consumed raw fruits, vegetables,
and fish to ensure uniformity in declared values. Thus, some
differences in nutrient levels are likely to be noted.
C. Need for Additional Research and Data
(Comment 4) Five comments requested that the final rule not be
finalized at this time because they needed an additional 12 months to
plan, execute, and evaluate additional nutrient research so that
nutrient data are as complete and extensive as possible. The comments
asserted that this additional time will allow for sampling products at
different times of the year which will give them a more accurate
reflection of the seasonal impact on nutrient content values. One of
the comments stated the additional time also would allow the industry
to establish more data points and thus increase the sample size of
analytical values, which may help in calculating a more reliable mean
value and improving the standard deviation, both factors needed to
calculate the one-sided 95 percent prediction interval.
(Response) The data submitted to FDA in response to the 2002
proposed rule were available for public review for almost 3 years. We
believe that this is more than an adequate amount of time for
interested persons to complete nutrient analyses, provide additional
data and information on market shares, determine the seasonal impact on
nutrient content values, and establish more data points for calculating
a more reliable nutrient value. We therefore have concluded that the
requested additional time is not warranted. However, we do encourage
the produce and fish industries to continue to conduct research on
nutrient values and to submit new data to FDA for consideration in
future updates, in accord with Sec. 101.45(b).
(Comment 5) One comment urged that FDA utilize all credible data
available and not a limited set of data from one study.
(Response) FDA agrees that it should utilize all credible data
available in developing its nutritional values for raw fruit,
vegetables, and fish. We recognize that additional nutrient data are
needed to support the voluntary nutrition labeling of raw produce and
fish because some of the current values are based on small sample sizes
or older data and should be updated. However, many of the commodity
groups and organizations that represent the produce and fish industries
have not submitted new data to support the updating and refinement of
the nutrient levels. We therefore can only use the data we have in
updating and refining these nutrient levels. As stated in the response
to comment 4 of this document, we encourage and will continue to
encourage the produce and fish industries to conduct additional
nutrient analyses to support the labeling of these foods and to submit
those data to FDA for consideration in updating the nutrient levels in
the next review of the voluntary nutrition labeling of raw produce and
fish.
D. Consumer Support for Labeling of Raw Fruits, Vegetables, and Fish
(Comment 6) One comment recommended that FDA establish nutrition
labeling values for more than just the 20 most frequently consumed raw
products identified in the proposal.
(Response) Section 403(q)(4)(B) of the act (21 U.S.C. 343(q)(4)(B))
provides that FDA establish by regulation a list of the 20 varieties of
vegetables, fruits, and raw fish most frequently consumed in a year.
Therefore, we are not granting the comment's request in this final
rule. However, we have provided for the nutrition labeling of raw
fruits, vegetables, and fish that are not among the 20 most frequently
consumed in Sec. 101.45(c). In that regulation, FDA states that
databases of nutrient values may be used to develop nutrition labeling
values for specific varieties, species, or cultivars of those foods not
among the 20 most frequently consumed raw fruits, vegetables, and fish.
The food names and descriptions for the fruits, vegetables, and fish in
nutrition labeling or in databases developed and submitted to FDA under
this regulation should clearly identify these foods as distinct from
foods among the most frequently consumed list for which we have
provided data. Guidance in the development of databases for these foods
may be found in the FDA Nutrition Labeling Manual (Ref. 3).
(Comment 7) Two comments requested that FDA make the voluntary
guidelines mandatory and require retailers to provide nutrition
information for raw fruits, vegetables, and fish products.
(Response) FDA disagrees with the comments. The compliance surveys
we conducted in 1992, 1994, and 1996 (Ref. 5) do not support taking
such action at this time. These surveys found that retailers exceeded
the 60 percent substantial compliance standard set in Sec. 101.43(c)
by a large enough margin to provide confidence that the levels were not
invalidated by statistical error. Levels of compliance for 1992, 1994,
and 1996 were 76.9 percent, 81.4 percent, and 77.8 percent for raw
produce and 74.3 percent, 76.8 percent, and 74.0 percent for raw fish.
As our surveys have found substantial compliance over several years, we
have no reason to evaluate the marketplace differently than we have in
past years because there is no evidence that substantial compliance
does not continue at the present time. Absent information suggesting
otherwise, our evaluation of the available compliance
[[Page 42034]]
data and our projections based on those data indicate that compliance
remains substantial at this time. Thus, at this time, we continue to
encourage retailers to provide quantitative nutrition information for
raw fruits, vegetables, and fish but will not publish regulations to
make the provision of nutrition information mandatory.
E. Allowable Nutrient Content Claims
(Comment 8) One comment expressed concern that changing the
existing nutrition label values for several key fruits and vegetables
will weaken their perceived nutrient values (e.g., a fruit or vegetable
that was previously an ``excellent source'' would now be considered a
``good source'') and some micronutrient claims would have to be dropped
altogether because these fruits and vegetables will not be able to bear
the same nutrient content claims that they once did under Sec. 101.54.
This situation could cause only fortified processed foods to be able to
use the claim ``excellent source'' for some nutrients. The comment
stated that the changes the agency is making would mean the loss of
positive nutrition content claims for several vegetables and fruits
that are currently considered to be the ``gold standard'' of nutrition
among consumers.
(Response) We recognize and agree that based upon new data, some of
the fruits and vegetables may no longer be able to bear the same
nutrient content claims. We want to clarify, however, that as described
in Sec. 101.54, nutrient content claims must be based on the reference
amounts customarily consumed (RACCs) and not on the serving sizes of
products, which are derived from the RACCs. Specifically, Sec.
101.54(b) states the provisions for ``high claims'' (``high,'' ``rich
in,'' or ``excellent source of''), and Sec. 101.54(c) provides those
for ``good source claims'' (``good source,'' ``contains,'' or
``provides'').
Section 101.12(b) states that reference amounts shall be used as
the basis for determining serving sizes for specific products. The
RACCs shown in Table 2 of Sec. 101.12 for fruits, vegetables, and fish
in the voluntary nutrition labeling program include 140 g for fresh
fruits, 30 g for avocado, 280 g for watermelon, 55 g for lemon and
lime, 30 g for green onion, 110 g for fresh potatoes, 85 g for fresh
vegetables, and 85 g for cooked, plain fish and shellfish. The serving
sizes of raw produce displayed in Appendix C to part 101, while based
on the RACCs, are generally not equivalent to the RACCs, which are
listed in grams only, but are provided on the basis of a ``household
measure'' of a food as well as in g and ounces (oz), such as 1 medium
banana (126 g per (/) 4.5 oz) or 5 asparagus spears (93 g/3 oz). The
serving size for all raw fish displayed in Appendix D to part 101 is 84
g/3 oz.
F. Declaration of ``Vitamin A'' or ``Carotenoid''
(Comment 9) One comment stated that fruits and vegetables contain
carotenoid, which is the precursor of vitamin A, but not vitamin A
itself, so the term ``vitamin A'' for fruits and vegetables should be
changed to ``carotenoid''.
(Response) We believe it would be inaccurate to change the term
``Vitamin A'' to ``carotenoids'' for fresh fruit and vegetables given
the understanding of the term ``Vitamin A'' and the relatively limited
understanding of the functions of the hundreds of naturally occurring
carotenoids. Vitamin A comprises a family of molecules containing a 20-
carbon structure with a methyl substituted cyclohexenyl ring and a
tetraene side chain with a hydroxy group (retinol), aldehyde group
(retinal), carboxylic acid group (retinoic acid) or ester group
(retinyl ester) at carbon 15. The term ``Vitamin A'' includes
provitamin A carotenoids that are dietary precursors of retinol. The
term ``retinoids'' refers to retinol, its metabolites, and synthetic
analogues that have a similar structure. Carotenoids are
polyisoprenoids, of which more than 600 forms exist. Of the many
carotenoids in nature, several have provitamin A nutritional activity.
Food composition data are available for only three (alpha-carotene,
beta-carotene, and beta-crypotoxanthin). Because the term ``Vitamin A''
typically encompasses pro-vitamin A carotenoids, and most carotenoids
have no food composition data available at this time, the suggested
change would be inaccurate.
G. Updating of Reference Amounts
(Comment 10) One comment recommended that FDA not revise nutrient
values for the 20 most frequently consumed raw fruits, vegetables, and
fish until we finalized the April 4, 2005 (70 FR 17010) Advanced Notice
of Proposed Rulemaking (ANPRM) (the April 2005 ANPRM), that requested
comments on, among other issues, whether we should update the RACCs,
the basis for serving size. The comment was of the view that we should
wait until the reference amounts are revised to reflect what is
currently available in the U.S. market.
(Response) FDA disagrees with the comment. We believe we should
publish this final rule at this time and not wait until completion of
the rulemaking process that we initiated by the April 2005 ANPRM. We
are currently reviewing comments submitted in response to the ANPRM and
have not determined whether or when we will update the RACCs. If we do
decide to go forward with that rulemaking and revise the RACCs, we will
then update the serving sizes of raw fruits, vegetables, and fish to
reflect those revisions in future rulemaking for the voluntary
nutrition labeling program.
H. Inclusion of Magnesium in Nutrition Labeling
(Comment 11) One comment suggested that FDA include the magnesium
content of seafood in the voluntary nutrition labeling regulations.
Cooked fish, the comment noted, can provide substantial amounts of
magnesium in the U.S. diet, which would provide health benefits to
American consumers. Another comment requested that magnesium be added
to the banana's nutrition labeling profile in Appendix C to part 101.
The latter comment noted that the 2005 Dietary Guidelines for Americans
recommend that both adults and children increase their intake of
magnesium from food sources.
(Response) FDA is not granting either of these requests. We note
that the 2005 Dietary Guidelines state that based on dietary intake
data or evidence of public health problems, intake levels of magnesium
may be of concern for both adults and children (Ref. 4). However, none
of the comments included nutrient data for magnesium for any of the
fish in the voluntary nutrition labeling program, and we do not have
access to magnesium data for any of the fish or the raw fruits and
vegetables. Thus we cannot grant the request in the comment without
such supporting data.
However, we consider magnesium an optional nutrient for both
mandatory nutrition labeling and the voluntary nutrition labeling of
raw fruits, vegetables, and fish. In the 1996 final rule, we noted that
providing information on optional nutrients for foods in the voluntary
program will be useful, and declarations of optional nutrients included
on individual labels should follow the requirements under Sec.
101.9(c).
I. Guidelines for Presentation of the Nutrition Labeling Values
1. Clarity in Guidelines for Raw Fruits and Vegetables and for Raw Fish
To provide clarity and consistency in the voluntary nutrition
labeling of raw
[[Page 42035]]
fruits, vegetables, and fish, FDA proposed in Sec. 101.45(a)(3) to:
(1) Divide current Sec. 101.45(a)(3)(iii) into two parts (i.e., into
Sec. 101.45(a)(3)(iii) and (a)(3)(iv)) so that Sec. 101.45(a)(3)(iii)
pertains only to raw fruits and vegetables and Sec. 101.45(a)(3)(iv)
pertains only to raw fish and (2) revise the wording for consistency
and increased readability. No comments were received, and therefore
these guidelines were adopted as proposed.
2. Trans Fatty Acid Labeling
FDA stated in the 2002 proposed rule that trans fatty acids would
not be expected to be present in raw produce and that the footnote
required in proposed Sec. 101.45(a)(3)(iii) should be revised to
state: ``Most fruits and vegetables provide negligible amounts of
saturated fat, trans fat, and cholesterol * * *.'' Comments supported
FDA's proposed revisions to Sec. 101.45(a)(3)(iii), and therefore we
have adopted it as proposed.
Also, FDA requested comments that provide data on the trans fat
content of raw fish (or cooked fish without the addition of any
ingredients, e.g., fat, breading, or seasoning).
(Comment 12) Several comments requested that FDA revise Sec.
101.45(a)(3)(iv) to state that fish provide only negligible amounts of
trans fat, or no trans fat. A comment from the fish industry noted
that, unlike some animals, fish do not typically accumulate measurable
levels of trans fat as a result of their metabolized food sources, and
it is particularly true of wild-caught fish.
(Response) FDA agrees with the comments and has revised Sec.
101.45(a)(3)(iv) to read as follows: ``When retailers provide nutrition
labeling information for more than one raw fish on signs or posters or
in brochures, notebooks, or leaflets, the listings for trans fat,
dietary fiber and sugars may be omitted from the charts or individual
nutrition labels if the following footnote is used, `Fish provide
negligible amounts of trans fat, dietary fiber, and sugars'.''
Appendices C and D to part 101 will show 0 g of trans fat for all
varieties of raw fruits, vegetables, and fish.
J. Identification of the 20 Most Frequently Consumed Raw Fruits,
Vegetables, and Fish in the United States
1. Fruits and Vegetables
There were no comments that recommended changing the top 20 most
frequently consumed raw fruits and the top 20 most frequently consumed
raw vegetables. For ease of use and to be consistent with the food
names in Appendix C to part 101, we revised Sec. 101.44(a) and (b) by
listing the items in alphabetical order and by using the plural form of
the food name when the serving size is more than one unit. Revised
Sec. 101.44(a) reads as follows: ``The 20 most frequently consumed raw
fruits are: Apple, avocado (California), banana, cantaloupe,
grapefruit, grapes, honeydew melon, kiwifruit, lemon, lime, nectarine,
orange, peach, pear, pineapple, plums, strawberries, sweet cherries,
tangerine, and watermelon.'' Revised Sec. 101.44(b) reads as follows:
``The 20 most frequently consumed raw vegetables are: Asparagus, bell
pepper, broccoli, carrot, cauliflower, celery, cucumber, green (snap)
beans, green cabbage, green onion, iceberg lettuce, leaf lettuce,
mushrooms, onion, potato, radishes, summer squash, sweet corn, sweet
potato, and tomato.''
2. Fish
(Comment 13) Two comments requested that FDA revise Sec.
101.45(a)(3)(iv) to add Chinook salmon to the salmon species. One
comment stated that the vast majority of Chinook salmon is sold raw to
the U.S. consumer, and the nutrient profile is most similar to the
proposed category for the values for Atlantic/coho/sockeye salmon.
(Response) We agree with this suggestion and have revised
101.45(a)(3)(iv) to combine Atlantic, coho, Chinook and sockeye into
one subgroup of salmon based upon similarity in nutrient values.
(Comment 14) One comment requested that FDA report information for
farmed salmon separately from that for wild salmon because food supply
and water quality greatly affect nutrition value of the food whether it
is raised or caught.
(Response) We are not granting this request because there were no
nutrient data submitted that supported providing nutrition information
separately for farmed versus wild species of salmon or other types of
fish.
K. Nutrition Labeling Values for the 20 Most Frequently Consumed Raw
Fruits, Vegetables, and Fish
1. FDA Analysis of the Data
FDA considered the data from all of the sources identified in
sections II.K.2 and II.K.3 of this final rule and used these data as
the basis for deriving the updated nutrition labeling values for the 20
most frequently consumed raw fruits, vegetables, and fish in Appendices
C and D to part 101. Reference 6 of this document provides complete
documentation of the derivation of each nutrition labeling value for
the raw fruits, vegetables, and fish covered in this final rule. The
documentation also includes the actual (unrounded) values for total
fat, total carbohydrate, and protein used to calculate calories and
calories from fat for each food.
To the extent possible (i.e., for those nutrients for which
sufficient data were available), we used the statistical methodology
recommended in the FDA Nutrition Labeling Manual to produce the
nutrition labeling values. The recommended statistical methodology uses
compliance calculations that take into account the variation of
nutrients in foods, as described in greater detail in the 2002 proposed
rule.
a. 95 Percent Prediction Intervals.
(Comment 15) One comment stated that proposed values appear to be
imprecise and not representative when calculating for the one-sided 95
percent prediction interval. As a solution, the comment recommended
that FDA use predicted values that fall within the range of the actual
data points.
(Response) We agree with the comment that the 95 percent predicted
value should fall within the range of the interval of all raw data
points and have reviewed all nutrient data for all foods. If the 95
percent predicted value falls within the interval of all raw data
points, then it is reasonable that it represent the nutrient level of
the product. If for any reason, the 95 percent predicted value shows an
invalid complete absence of a nutrient, if it is a negative value, or
if it does not fall within the interval of all raw data points, it is
likely that the mean will provide a better estimate of the nutrient
than the predicted value. We also noted in the 2002 proposed rule that
we frequently find that the mean and the predicted value round to the
same value. In addition, we found that when the sample size was small
(e.g., three or fewer analytical data points), the values derived from
compliance calculations (using 95 percent prediction intervals) were
less likely than the mean to represent the nutrient level. Thus, after
a careful review of statistical and analytical data and considering all
criteria listed in section II.K.1 of this document, we selected those
values that more appropriately represent the nutrient level in the
food.
(Comment 16) One comment asked that FDA provide clarification of
the agency's compliance with the Data Quality Act in issuing the
proposed nutrient labeling values.
(Response) In the Information Quality Act (IQA), Public Law No.
106-554,
[[Page 42036]]
section 515 (2000), see 44 U.S.C. 2516 note, Congress directed the
Office of Management and Budget (OMB) to issue governmentwide
guidelines designed to ensure and maximize the ``quality, objectivity,
utility, and integrity of information * * * disseminated by Federal
agencies,'' and in turn required agencies to issue their own guidelines
concerning information quality and to establish administrative
mechanisms to allow affected persons to seek and obtain correction of
information maintained and disseminated by the agency that does not
comport with the agency's guidelines. OMB's guidelines were published
in the Federal Register of February 22, 2002 (67 FR 8452); HHS's
guidelines were announced in the Federal Register of September 30, 2002
(67 FR 61343), and can be found at https://aspe.hhs.gov/infoquality/
guidelines/fda.shtml. (FDA has verified the Web site address, but we
are not responsible for subsequent changes to the Web site after this
document publishes in the Federal Register.)
The nutrition labeling values that we provide in the voluntary
nutrition labeling program are developed using a transparent process
that provides data that are reproducible and are otherwise in
compliance with FDA's IQA guidelines and the IQA. The process of
setting and updating these values is identified in Sec. 101.45(b) and
(c) and in the FDA Nutrition Labeling Manual, described in Sec.
101.45(b) and (c). The manual provides the general methodology that we
recommend and follow to determine nutrition labeling values based on 95
percent prediction intervals, and FDA has provided detailed
explanations of its methodology in the proposed rule and in response to
comments in this preamble. In addition to the FDA Nutrition Labeling
Manual, FDA staff members are available to answer questions and to
provide further direction on the analytical, statistical, and
methodological questions that arise concerning determination of
nutrition labeling values. Stakeholders with new or additional nutrient
data for any of the most frequently consumed raw fruits, vegetables,
and fish are encouraged in Sec. 101.45(b) and (c) to submit data to
the agency for review and evaluation by the agency, and these data may
be incorporated into subsequent revisions of the nutrition labeling
information.
b. Precision in Estimates.
(Comment 17) One comment suggested that USDA and FDA emphasize in
the regulation that the [serving] sizes given for produce items are
expressed for the edible portion even though, as another comment noted,
consumers buy foods in ``as purchased'' quantities. For example, a
consumer buying a fruit with a large amount of inedible content (e.g.,
cantaloupe or peach), would likely believe that they are getting more
nutrients than they are. The comment stated that having yield
conversion factors would be necessary to make the nutrient information
truly usable to the consumer.
(Response) We do not believe the emphasis requested is necessary,
as we are not aware of consumer research that describes consumers'
perceptions of the size of fruits and vegetables they purchase with
respect to interpretation of nutrient information available on signs in
retail outlets, which is based on a serving size set by FDA and
reflects the amount customarily consumed. We are therefore not
convinced that most consumers will require the precision in knowing at
the point of purchase the yield information of the raw fruits and
vegetables they purchase.
(Comment 18) One comment expressed concern that the proposed
changes in nutrient levels mislead the public because listing the
weight of any fruit or vegetable in unrounded numbers gives an
impression of an unwarranted level of accuracy, when in fact fruits and
vegetables vary in size.
(Response) FDA agrees that fruits and vegetables vary in size but
disagrees that listing the weight in unrounded numbers gives an
impression of an unwarranted level of accuracy. The nutrition labeling
values in Appendix C to part 101 provide serving sizes for each fruit
and vegetable that is expressed in a visual unit of measure (e.g., 1
medium apple; 2 slices pineapple; 5 spears asparagus; 1/2 medium summer
squash; 1 medium, 5' long, 2' diameter sweet potato), as well as the
gram and ounce equivalent. Visual units of measure vary and are not
intended to be precise. We expect that consumers will treat them as an
approximation but will also have the option of referring to the gram
and ounce serving size measures if greater precision is needed.
c. Adjusting Values for Total Carbohydrate.
(Comment 19) One comment objected to FDA adjusting the total
carbohydrate values where the sum of sugars and dietary fiber exceeded
the value for total carbohydrate. The comment stated that the sugar
value should be adjusted when sugars and fibers exceed total
carbohydrate, and the sugar values are from a different source than the
proximate, fiber, and other nutrient values. This, the comment stated,
would more accurately represent the sugar and carbohydrate content, as
well as the caloric value, of the samples from which most of the
nutrition labeling values have been derived.
(Response) We disagree that the sugars value should be adjusted.
The sum of the sugars and dietary fiber values, which were derived from
analytical data submitted by USDA, exceeded the value for total
carbohydrate for cantaloupe, honeydew melon, and watermelon. For these
foods only, we adjusted the value for total carbohydrate to reflect the
sum of sugars and dietary fiber. As stated in the 2002 proposed rule,
we consider this adjustment to be appropriate because the values for
sugars and dietary fiber are determined by laboratory analysis, and
therefore, are more accurate than the value for total carbohydrate,
which is determined ``by difference'' (i.e., the weight remaining after
subtracting the sum of the protein, fat, moisture, and ash from the
total weight of the food (Sec. 101.9(c)(6))).
2. Nutrition Labeling of Raw Fruits and Vegetables
In the 2002 proposed rule, FDA updated nutrition labeling values
for 12 of the 20 raw fruits and 9 of the 20 raw vegetables. We used new
data for six of the fruits from the California Avocado Commission
(CAC); the California Table Grape Commission; the California Tree Fruit
Agreement (CTFA) for peach, plums, and nectarine; and the California
Cherry Advisory Board for fat in sweet cherries. We also used new data
for four vegetables from the National Potato Protection Board and the
USDA NNDB for green onion, sweet corn, and sweet potatoes. In other
nutrition label changes, we corrected slight errors in sugars, total
carbohydrate, calories, and calories from fat values in a few fruits
and vegetables (cantaloupe, orange, strawberries, sweet cherries,
tangerine, watermelon, asparagus, celery, green (snap) beans, and
tomato) and corrected the serving size for grapefruit, carrot, and
sweet potato.
As indicated in section II.B of this final rule, USDA submitted
data in response to the 2002 proposed rule from its 2001-2002
nationwide sampling study of fruits and vegetables, which it
incorporated into its NNDB and SR, for 16 of the 20 most frequently
consumed raw fruits (apple, avocado (California), banana, cantaloupe,
grapefruit, honeydew melon, kiwifruit, nectarine, orange, peach, pear,
pineapple, plums, strawberries, sweet cherries, and watermelon) and 12
of the 20 most frequently consumed raw vegetables (bell pepper,
broccoli, carrot, celery, cucumber, iceberg lettuce, leaf lettuce,
onion, potato, radish, sweet potato, and
[[Page 42037]]
tomato). At the time USDA submitted the comment, the data results for
vitamin C, sodium, and potassium were not yet available, and the
analysis of carotenoids for carrots, sweet potatoes, cucumbers, onions,
and sweet peppers had not been completed. In June and July of 2003,
after the close of the comment period, USDA provided sodium, potassium,
and some carotenoid values that it did not submit earlier, including
vitamin C values for pineapple. In other comments to the 2002 proposed
rule, the Citrus Research Board and Food Research, Inc., provided
nutrient data from 1998 for oranges, grapefruit, tangerines (Mandarin
oranges), and lemons. We used all of the new data to update the
nutrition labeling values in the 2005 reopening of the comment period.
In response to the 2005 reopening of the comment period, the Pear
Bureau Northwest submitted market share data for four varieties of
pears; USDA submitted data for raw mushrooms; Food Research, Inc.,
submitted data for total fat in kiwifruit; and the California
Strawberry Commission (CSC) submitted data for sugars, calcium, and
iron in strawberries. After the close of the comment period, the U.S.
Apple Association (USApple) submitted data for fiber and new serving
size information. We considered all data submitted in response to the
2005 reopening of the comment period and used those data to update the
nutrition labeling values for raw fruits and vegetables in this final
rule. The following will address individual fruits and vegetables for
which we received data in response to the 2005 reopening of the comment
period.
a. Apple.
(Comment 20) USApple requested that FDA use its new serving size
information and new data for dietary fiber for five varieties of apples
(Red Delicious, Golden Delicious, Granny Smith, Gala, and Fuji) in
updating the nutrient values for apples. USApple stated that based on
current market data, retailers are selling significantly larger apples
than those represented by the existing serving size of 154 g or 5.5 oz
edible portion, which is based on 1975 market data. They noted that the
154 g serving size for apples does not reflect the majority of apples
for sale in the retail market and that a large apple (264 g whole, 242
g edible portion) is customarily consumed in the United States. They
stated apple growers have adapted to consumers' tastes and preferences
by growing and marketing larger apples, and, as a result, apple
production and the apple market have changed significantly. In
addition, only small and large apple sizes exist in today's
marketplace. There is no inventory management or price look-up (PLU)
sticker that designates a ``medium'' size apple at the retail level,
and smaller apples typically go to processing. USApple recommended that
a large apple (242 g edible portion) should be listed as the serving
size.
(Response) We agree with the USApple request. We are convinced by
the data submitted by USApple that ``1 large (242 g/8 oz)'' better
represents the serving size for apple. Thus, we combined the data for
dietary fiber from the USApple research study (n=8) with data provided
by USDA for the same five varieties of apples in response to the 2002
proposed rule (n=15) and conducted weighted compliance calculations of
all nutrients based on market share using 95 percent prediction
intervals (Ref. 7). Based upon our analysis of the data, we determined
that there would be changes in nutrition labeling values for calories
(130 from 80), potassium (260 milligrams (mg), 7 percent daily value
(DV), from 160 mg, 5 percent DV), total carbohydrate (34 g, 11 percent
DV, from 21 mg, 7 percent DV), dietary fiber (5 g, 20 percent DV, from
3 g, 12 percent DV), sugars (25 g from 16 g), protein (1 g from 0 g),
calcium (2 percent DV from 0 percent DV), and iron (2 percent DV from 0
percent DV). Table 1 of this document includes changes in nutrition
labeling values for apples, and Appendix C to part 101 provides the
listing of all values.
Table 1.--Changes to the Nutrition Labeling Information for Raw Fruits and Vegetables
--------------------------------------------------------------------------------------------------------------------------------------------------------
2005 Reopening Comment Period Values Final Rule Values
Food and Nutrient ---------------------------------------------------------------------------------------------------
% DV % DV
--------------------------------------------------------------------------------------------------------------------------------------------------------
Apples (242 g) (154 g) ....................... (242 g) .......................
Calories 80 ....................... 130 .......................
Potassium 160 mg 5% 260 mg 7%
Total Carbohydrate 21 mg 7% 34 mg 11%
Dietary Fiber 3 g 12% 5 g 20%
Sugars 16 g ....................... 25 g .......................
Protein 0 g ....................... 1 g .......................
Calcium ....................... 0% ....................... 2%
Iron ....................... 0% ....................... 2%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Avocado (30 g) ....................... ....................... ....................... .......................
Calories from Fat 45 g ....................... 35 .......................
Total Fat 5 g 8% 4.5 g 7%
Saturated Fat 1 g 5% 0.5 g 3%
Total Carbohydrate 2 g 1% 3 g 1%
Iron ....................... 0% ....................... 2%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Banana (126 g) ....................... ....................... ....................... .......................
Sodium 5 mg 0% 0 mg 0%
Dietary Fiber 2 g 8% 3 g 12%
Vitamin A ....................... 0% ....................... 2%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Cantaloupe (134 g) ....................... ....................... ....................... .......................
Calcium ....................... 0% ....................... 2%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Honeydew melon (134 g) ....................... ....................... ....................... .......................
Calcium ....................... 0% ....................... 2%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Kiwifruit (148 g) ....................... ....................... ....................... .......................
[[Page 42038]]
Total Fat 1.5 g 2% 1 g 2%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Lemon (58 g) ....................... ....................... ....................... .......................
Dietary Fiber 1 g 4% 2 g 8%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Nectarine (140 g) ....................... ....................... ....................... .......................
Dietary Fiber 1 g 4% 2 g 8%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Orange (154 g) ....................... ....................... ....................... .......................
Vitamin A ....................... 0% ....................... 2%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Pear (166 g) ....................... ....................... ....................... .......................
Potassium 180 mg 5% 190 mg 5%
Total Carbohydrate 25 g 8% 26 g 9%
Dietary Fiber 4 g 16% 6 g 24%
Protein 0 g ....................... 1 g .......................
Calcium ....................... 0% ....................... 2%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Pineapple (112 g) ....................... ....................... ....................... .......................
Iron ....................... 0% ....................... 2%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Plums (151 g) ....................... ....................... ....................... .......................
Dietary Fiber 1 g 4% 2 g 8%
Iron ....................... 0% ....................... 2%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Strawberries (147 g) ....................... ....................... ....................... .......................
Sugars 6 g ....................... 8 g .......................
Calcium ....................... 0% ....................... 2%
Iron ....................... 0% ....................... 2%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Tangerine (109 g) ....................... ....................... ....................... .......................
Sodium 5 mg 0% 0 g 0%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Broccoli (148 g) ....................... ....................... ....................... .......................
Total Carbohydrate 10 g 3% 8 g 3%
Protein 2 g ....................... 4 g .......................
Iron ....................... 4% ....................... 6%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Carrot (78 g) ....................... ....................... ....................... .......................
Iron ....................... 0% ....................... 2%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Celery (110 g) ....................... ....................... ....................... .......................
Dietary Fiber 1 g 4% 2 g 8%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Cucumber (99 g) ....................... ....................... ....................... .......................
Calories 15 ....................... 10 .......................
Total Carbohydrate 3 g 1% 2 g 1%
Sugars 2 g ....................... 1 g .......................
Protein 0 g ....................... 1 g .......................
--------------------------------------------------------------------------------------------------------------------------------------------------------
Green Onion (25 g) ....................... ....................... ....................... .......................
Iron ....................... 0% ....................... 2%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Leaf Lettuce (85 g) ....................... ....................... ....................... .......................
Calcium ....................... 4% ....................... 2%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Mushrooms (84 g) ....................... ....................... ....................... .......................
Sodium 0 g 0% 15 g 0%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Onion (148 g) ....................... ....................... ....................... .......................
Potassium 160 mg 5% 190 g 5%
Calcium ....................... 2% ....................... 4%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Radishes (85 g) ....................... ....................... ....................... .......................
Potassium 160 mg 5% 190 mg 5%
--------------------------------------------------------------------------------------------------------------------------------------------------------
Tomato (148 g) ....................... ....................... ....................... .......................
Sodium 35 mg 1% 20 mg 1%
--------------------------------------------------------------------------------------------------------------------------------------------------------
[[Page 42039]]
b. Avocado.
(Comment 21) In comments submitted in response to the 2005
reopening of the comment period, CAC requested that FDA establish a
nutrition labeling value of 0.5 g for saturated fat, 2 g for dietary
fiber, and 150 mg for potassium.
CAC also submitted a comment in response to the 2002 proposed rule
stating that it is well established that the fat content of an avocado
varies and increases throughout the season and asked that we consider
seasonal data in determining the content of fat. To support their
request, CAC also noted that the State of California regulates the
percent oil (fat) that must be present in an avocado before it can be
sold. Not only does the fat content vary throughout the season, but as
with many fruit crops, avocado sales start slow, build and then decline
at the end of the season. Seasons and corresponding market share for
avocado include: Primary season (January through September), 93 percent
of crop; pre-season (November and December), 2.4 percent of crop; and
post-season (October), 4.6 percent of crop.
(Response) We agree with the comment on the seasonal variation of
fat in avocados and reevaluated the total fat and saturated fat levels
for this final rule. We used the seasonal market share data that CAC
provided along with their nutrient data, combined these data with those
provided by USDA in response to the 2002 proposed rule, and conducted
weighted compliance calculations based on 95 percent prediction
intervals (Ref. 8). The resulting nutrition labeling value for
saturated fat is 0.5 g. In addition, we found that other nutrient
levels changed from those we published in the reopening of the comment
period for total fat (4.5 g, 7 percent DV, from 5 g, 8 percent DV),
calories from fat (35 from 45), total carbohydrate (3 g, 1 percent DV,
from 2 g, 1 percent DV), and iron (2 percent DV from 0 percent DV).
We have also provided a correction in this final rule in Sec.
101.45(a)(3)(iii) that ``* * * avocados contain 1 gram (g) of fat per
ounce'' should read ``* * * avocados contain 0.5 gram (g) of saturated
fat per ounce.'' In addition, we have revised the footnote that follows
in Sec. 101.45(a)(3)(iii) that states ``avocados provide 1 g of
saturated fat per ounce'' to read ``avocados provide 0.5 g of saturated
fat per ounce.''
We will make no changes to the nutrition labeling values for
dietary fiber and potassium. We completed weighted compliance
calculations based on 95 percent prediction intervals with nutrient
data submitted by CAC and USDA, and determined that the 95 percent
predicted value for dietary fiber fell outside the interval of the raw
data points. We selected the mean value for dietary fiber, with a
resulting nutrition labeling value of 1 g. For potassium, the 95
percent predicted value of 142.9 mg fell within the interval of the raw
data points, so we selected the rounded value of 140 mg for nutrition
labeling. Thus, FDA calculated final values for dietary fiber and
potassium, in accord with the statistical methods described in the 2002
proposed rule, the 2005 reopening of the comment period, and in
response to comments in this final rule. Table 1 of this document
includes all changes in nutrition