Agency Information Collection Activities; Submission for Office of Management and Budget Review; Comment Request; Experimental Study on Consumer Responses to Labeling Statements on Food Packages, 21779-21782 [2012-8699]
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Federal Register / Vol. 77, No. 70 / Wednesday, April 11, 2012 / Notices
Estimated Total Annual Burden
Hours: 330,000
In compliance with the requirements
of Section 506(c)(2)(A) of the Paperwork
Reduction Act of 1995, the
Administration for Children and
Families is soliciting public comment
on the specific aspects of the
information collection described above.
Copies of the proposed collection of
information can be obtained and
comments may be forwarded by writing
to the Administration for Children and
Families, Office of Planning, Research
and Evaluation, 370 L’Enfant
Promenade SW., Washington, DC 20447,
Attn: ACF Reports Clearance Officer.
Email address: infocollection@acf.hhs.
gov. All requests should be identified by
the title of the information collection.
ACF specifically requests comments
on: (a) Whether the proposed collection
of information is necessary for the
proper performance of the functions of
the agency, including whether the
information shall have practical utility;
(b) the accuracy of the agency’s estimate
of the burden of the proposed collection
of information; (c) the quality, utility,
and clarity of the information to be
collected; and (d) ways to minimize the
burden information to be collected; and
(d) ways to minimize the burden of the
collection of information on
respondents, including through the use
of automated collection techniques or
other forms of information technology.
Consideration will be given to
comments and suggestions submitted
within 60 days of this publication.
Robert Sargis,
Reports Clearance Officer.
[FR Doc. 2012–8589 Filed 4–10–12; 8:45 am]
BILLING CODE 4184–01–P
DEPARTMENT OF HEALTH AND
HUMAN SERVICES
Food and Drug Administration
[Docket No. FDA–2011–N–0221]
wreier-aviles on DSK5TPTVN1PROD with NOTICES
Agency Information Collection
Activities; Submission for Office of
Management and Budget Review;
Comment Request; Experimental
Study on Consumer Responses to
Labeling Statements on Food
Packages
AGENCY:
Food and Drug Administration,
HHS.
ACTION:
Notice.
The Food and Drug
Administration (FDA) is announcing
that a proposed collection of
information has been submitted to the
SUMMARY:
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Office of Management and Budget
(OMB) for review and clearance under
the Paperwork Reduction Act of 1995
(the PRA).
DATES: Fax written comments on the
collection of information by May 11,
2012.
To ensure that comments on
the information collection are received,
OMB recommends that written
comments be faxed to the Office of
Information and Regulatory Affairs,
OMB, Attn: FDA Desk Officer, FAX:
202–395–7285, or emailed to
oira_submission@omb.eop.gov. All
comments should be identified with the
OMB control number 0910–New and
title ‘‘Experimental Study on Consumer
Responses to Labeling Statements on
Food Packages.’’ Also include the FDA
docket number found in brackets in the
heading of this document.
FOR FURTHER INFORMATION CONTACT:
Denver Presley, II, Office of Information
Management, Food and Drug
Administration, 1350 Piccard Dr., PI50–
400B, Rockville, MD 20850, 301–796–
3793.
ADDRESSES:
In
compliance with 44 U.S.C. 3507, FDA
has submitted the following proposed
collection of information to OMB for
review and clearance.
SUPPLEMENTARY INFORMATION:
Experimental Study on Consumer
Responses to Labeling Statements on
Food Packages—(OMB Control Number
0910–NEW)
I. Background
The Nutrition Labeling and Education
Act requires almost all packaged foods
to bear nutrition labeling in the form of
the Nutrition Facts label. The law also
allows manufacturers to provide other
nutrition information on labels in the
form of various types of statements,
including claims, as long as such
statements comply with the regulatory
limits that govern the use of each type
of statement. There are three types of
claims that the food industry can
voluntarily use on food labels: (1)
Health claims, (2) nutrient content
claims (e.g., ‘‘Low fat’’), and (3)
structure/function claims (e.g.,
‘‘Calcium builds strong bones.’’).
Although the different types of claims
are regulated differently, they all must
be truthful and not misleading (Ref. 1).
With the increased public interest in
identifying healthier foods, U.S. food
processors have been adding nutritional
information in the form of nutrition
symbols to food labels in addition to
claims. Examples of nutrition symbols
that have been used or suggested
include nutrient-specific disclosures
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21779
(e.g., ‘‘Guideline Daily Amounts’’) (Ref.
2), calorie declarations (Ref. 3),
summary product rating (e.g., ‘‘Smart
Spot’’) (Ref. 4), a hybrid summary
indicator with nutrient-specific
disclosure (e.g., ‘‘Sensible Solution:
Good Source of Calcium, Good Sources
of 8 Vitamins and Minerals’’) (Ref. 5),
the Facts-Up-Front icon, with and
without positive nutrients (Ref. 6), and
the symbol recommended by the
Institute of Medicine (Ref. 7). Claims
related to non-nutritional product
characteristics are also used in food
labeling. The claims may feature, among
other things, statements about how
foods are grown or made (e.g.,
‘‘Organic’’ and ‘‘All Natural’’) or
absence of a substance (e.g., ‘‘Glutenfree’’).
Many consumers use claims and the
Nutrition Facts label in food choice
decisions (Refs. 8 through 10). While
some products carry only a single
labeling statement (e.g., either one claim
or one symbol) on their packages, many
products carry two or more labeling
statements. In addition, on the same
package the attributes of one statement
may differ from those of other
statements in terms of featured nutrient,
type of claim, framing of statement,
nature of statement, and presentation of
statement. For example, a package may
display one or more statements such as
symbols relating to nutrition content,
statements in words relating to the
presence of certain nutrients, statements
in words relating to the absence of other
nutrients, statements in words
describing the health benefits of
consuming foods containing or not
containing certain nutrients, and
statements in words describing how the
product was produced. Moreover, all of
those symbols and statements are
distributed in various places on the
package in different font sizes and
colors.
There exists a large body of literature
on the impacts of different types of
labeling statements on consumer
perceptions and choices of products
(Refs. 11 and 12). The majority of the
research, including the consumer
research that the Agency has previously
conducted (Refs. 13 and 14), has
focused on single labeling statements by
eliciting study participants’ reactions to
variants of a given statement. An
advantage of this research approach is
that it helps isolate the effects of
individual statements and avoid
potential confounding effects caused by
the presence of other statements. A
disadvantage of this research approach,
however, is that it does not necessarily
reflect the labels consumers see in the
marketplace. In particular, the existing
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literature provides little information
about how the coexistence of two or
more different labeling statements
affects product perceptions and choices.
This information, however, is critical for
understanding the roles played by
labeling statements in dietary decisions.
Research suggests consumer product
perceptions and purchase decisions can
be influenced by labeling statements
and different labeling statements may
have different influences (Refs. 11
through 14). Therefore, FDA, as part of
its effort to promote public health,
proposes to use this study to explore
consumer responses to food labels that
bear multiple labeling statements.
Specifically, the study plans to examine:
(1) Consumer responses to food labels
that exhibit various combinations of the
number and type of statements, (2)
whether and how consumer responses
to one label characteristic may be
affected by the other characteristic (i.e.,
the interactions between different
characteristics of labeling statements),
and (3) whether and how labeling
statements affect consumers’ use of the
Nutrition Facts label.
The proposed collection of
information is a controlled randomized
experimental study. The study will use
a 15-minute Web-based survey to collect
information from 4,000 Englishspeaking adult members of an online
consumer panel maintained by a
contractor. The study will aim to
produce a sample that reflects the U.S.
Census on gender, education, age, and
ethnicity/race.
The study will randomly assign each
of its participants to view two label
images from a set of food labels that will
be created for the study. These images
will be systematically varied in the
following aspects: (1) Number of
statements (ranging from none to three);
(2) featured nutrient and food product
(fat—snack bar, sodium—chips, or
fiber—breakfast cereal); (3) type of
statement (text such as ‘‘Supports
Cardiovascular Functioning’’ or graphic,
specifically the Facts-Up-Front icons
and one of the icon concepts proposed
by the Institute of Medicine) (Refs. 13
and 14); and (4) nature of featured
product attribute (such as ‘‘Supports the
Immune System’’ or ‘‘All Natural’’).
With regard to claims, the study will
focus on examples of nutrient content
claims and structure/function claims
that can be found on many food
packages (Ref. 15). All label images will
be mockups resembling food labels that
may be found in the marketplace.
Images will show product identity (e.g.,
tortilla chips) but not any real or
fictitious brand name. The study will
provide interested participants access to
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the Nutrition Facts label but not
together with a product image.
The survey will ask its participants to
view label images and answer questions
about their perceptions and reactions
related to the viewed product and label.
Product perceptions (e.g., healthfulness,
potential health benefits, levels of
nutrients, and taste) and label
perceptions (e.g., helpfulness and
credibility) will constitute the measures
of responses in the experiment. To help
understand the data, the survey will
also collect information about
participants’ background, such as
familiarity with and consumption,
purchase, and perception of the
categories of food included in the study;
awareness and knowledge of nutrients;
dietary interests; motivation regarding
label use and health literacy; and health
status and demographic characteristics.
The study is part of the Agency’s
continuing effort to enable consumers to
make informed dietary choices and
construct healthful diets. Results of the
study will be used primarily to enrich
the Agency’s understanding of how
multiple claims and other labeling
statements on food packages may affect
how consumers perceive a product or a
label, which may in turn affect their
dietary choices. Results of the study will
not be used to develop population
estimates.
In the Federal Register of April 13,
2011 (76 FR 20675), FDA published a
60-day notice requesting public
comment on the proposed collection of
information. The Agency received four
responses to the notice. One of the
responses was outside of the scope of
the proposed collection of information
described in the 60-day notice and is
not addressed here. The remaining three
responses contained multiple
comments. These comments, and the
Agency’s responses, are discussed in the
following paragraphs.
(Comment 1) Two comments
suggested that FDA provide mock
stimuli for public comment prior to
initiating the study.
(Response) We appreciate the
suggestion for the Agency to provide the
experimental stimuli for public
comment prior to initiating the study.
Per the PRA, a copy of the proposed
experimental stimuli is provided in the
Appendix of the supporting document.
(Comment 2) One comment suggested
that the study include questions to
probe how non-misleading nutrient
content, health, and structure/function
claims may improve consumers’
understanding of a product’s nutritional
attributes.
(Response) We agree and have
included measures to assess how
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participants’ understanding of a
product’s nutritional attributes may be
affected by non-misleading claims.
(Comment 3) Two comments
expressed concerns about four questions
proposed in the draft questionnaire.
Two of the questions of concern asked
if participants had ever heard or read
that certain foods (unnamed) may help
lower the risk of seven different types of
health problems, such as cancer,
diabetes, and others. The third and
fourth questions of concern asked
whether specific nutrients (e.g.,
calcium, potassium, etc.) or a particular
food product, respectively, might help
reduce the risk of the same health
problems asked about in the other two
questions. Both comments suggested
that such questions would demonstrate
that ‘‘consumers misinterpret structure
function claims as health claims’’ and
argued that such a demonstration would
be inconsistent with the stated purpose
of the information collection.
(Response) FDA does not agree that
the proposed questions on participants’
prior knowledge of foods’ health
benefits and inferences from reading a
label would bias the study toward
health claims rather than structure/
function claims. Since label inferences
can be affected by what consumers
already know or believe about a food,
the prior knowledge questions are
included to help understand study
participants’ reactions to labeling
statements. The question about
perceived health benefits of a product is
one of the most important measures of
label inferences. The Agency’s previous
research has shown that consumer
inferences of the health benefits of a
product do not necessarily vary between
types of labeling statements (i.e., health
claims, structure/function claims, and
nutrient content claims). Hence, this
question is not expected to produce
erroneous data with respect to
inferences about structure/function
claims.
(Comment 4) One comment suggested
that FDA consider including an
experimental condition in which
participants would view a label bearing
up to three different labeling statements
because consumers are routinely
exposed to this amount of information
on food packages. In the originally
proposed design, FDA included label
manipulations involving only up to two
different labeling statements.
(Response) We agree with the
comment and have revised the study to
include experimental conditions
containing up to three labeling
statements on a label.
(Comment 5) One comment suggested
including an assessment of how the
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various labeling statements affect
whether participants intend to purchase
the product or not.
(Response) As we proposed in the
draft questionnaire, we will include a
question about purchase intention.
(Comment 6) One commenter noted
that prior research has shown that the
appearance of packaging and statements
on the front of the package can increase
the likelihood of consumers using the
Nutrition Facts label.
(Response) FDA agrees that
information about consumers’ use of the
Nutrition Facts label is important and
plans to record and analyze how likely
the study’s participants are to consult
the Nutrition Facts label when viewing
claims and other statements on the front
label of a product.
(Comment 7) One comment
questioned the relevance of asking
participants to rate the safety or
trustworthiness of a product based on
the label information they view.
(Response) Although the label content
of a product may not be intended to
influence consumer assumptions
regarding the safety of a product, prior
research has demonstrated that such
influence may occur (Ref. 16).
Therefore, it would be useful to
understand whether similar reactions
happen in a multiclaim context.
Nevertheless, the products that the
proposed study plans to include
(breakfast cereal, chips, and snack bars)
are generally not associated with safety
issues that may lead to foodborne illness
or other safety hazards. Therefore, the
study will omit the proposed question
on perceived product safety. On the
other hand, the Agency has determined
that it is still important and relevant to
elicit study participants’ perceptions of
the trustworthiness of various labeling
statements (not foods, as stated in the
comment), especially when these
statements feature different nutrients or
product benefits. Thus, the study will
keep the proposed question on
perceived trustworthiness of the label.
(Comment 8) One comment suggested
that the study ask about participants’
interest in nutrients for which there is
concern of inadequate intake among
Americans. The comment recommended
replacing Vitamin D and omega-3 fatty
acids for Vitamins A and C, as proposed
in the previous draft questionnaire.
(Response) We agree with the
comment and have incorporated the
suggestion in the revised questionnaire.
(Comment 9) One comment suggested
that a plausible distractor or wrong
choice be included in the question
about the nutrients participants try to
limit or increase in their diet to test the
validity of the responses.
(Response) We disagree with the
comment. Our previous surveys indicate
respondents can provide valid
responses to these questions (for
example, Ref. 17). Furthermore, we are
concerned that the validity of the
responses would suffer if a distractor or
21781
wrong choice is included because
participants may be confused by the
presence of such options in the
question.
To help design and refine the
questionnaire, FDA plans to conduct
cognitive interviews by screening 72
panelists in order to obtain 9
participants in the interviews. Each
screening is expected to take 5 minutes
(0.083 hour), and each cognitive
interview is expected to take 1 hour.
The total for cognitive interview
activities is 15 hours (6 hours + 9
hours). Subsequently, we plan to
conduct pretests of the questionnaire
before it is administered in the study.
We expect that 1,600 invitations, each
taking 2 minutes (0.033 hour), will need
to be sent to panelists to have 200 of
them complete a 15-minute (0.25 hour)
pretest. The total for the pretest
activities is 103 hours (53 hours + 50
hours). For the survey, we estimate that
32,000 invitations, each taking 2
minutes (0.033 hour) to complete, will
need to be sent to the consumer panel
to have 4,000 of its members complete
a 15-minute (0.25 hour) questionnaire.
The total for the survey activities is
2,056 hours (1,056 hours + 1,000 hours).
Thus, the total estimated burden is
2,174 hours. FDA’s burden estimate is
based on prior experience with research
that is similar to this proposed study.
FDA estimates the burden of this
collection of information as follows:
TABLE 1—ESTIMATED ANNUAL REPORTING BURDEN 1
No. of
respondents
Activity
No. of
responses per
respondent
Average
burden per
response
Total annual
responses
Total hours
Cognitive interview screener ......................
Cognitive interview .....................................
Pretest invitation ........................................
Pretest ........................................................
Survey invitation .........................................
Survey ........................................................
72
9
1,600
200
32,000
4,000
1
1
1
1
1
1
72
9
1,600
200
32,000
4,000
0.083 (5 minutes)
1 hour
0.033 (2 minutes)
0.25 (15 minutes)
0.033 (2 minutes)
0.25 (15 minutes)
6
9
53
50
1,056
1,000
Total ....................................................
........................
........................
........................
..................................................
2,174
1 There
are no capital costs or operating and maintenance costs associated with this collection of information.
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II. 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 any subsequent changes
to the Web site after this document
publishes in the Federal Register.)
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1. U.S. Food and Drug Administration,
‘‘Claims That Can Be Made for Conventional
Foods and Dietary Supplements,’’ September
2003. Available at https://www.fda.gov/Food/
LabelingNutrition/LabelClaims/ucm111447.
htm.
2. Kellogg’s, ‘‘How to Read a Nutrition
Label,’’ 2010. Available at https://
www.kelloggs.com/en_US/the-benefits-ofcereal/how-to-read-a-nutrition-label.html.
3. PepsiCo, ‘‘Nutrition Labeling,’’ 2010.
Available at https://www.pepsico.com/
Purpose/Human-Sustainability/NutritionLabeling.html.
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4. Schmit, J., ‘‘PepsiCo Labels Some of Its
Snacks ‘Smart,’ ’’ USA Today, September 2,
2004. Available at https://www.usatoday.com/
money/industries/food/2004–09–02-smartspot_x.htm.
5. Kraft Foods, ‘‘Sensible Solution,’’ 2010.
Available at https://www.kraftrecipes.com/kf/
HealthyLiving/SensibleSolution/Sensible
Solution_Landing.aspx.
6. FactsUpFront.org, ‘‘Facts Up Front,’’
2011. Available at https://factsupfront.com/.
7. Institute of Medicine, ‘‘Front-of-Package
Nutrition Rating Systems and Symbols:
Promoting Healthier Choices,’’ 2011.
Available at https://www.iom.edu/Reports/
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2011/Front-of-Package-Nutrition-RatingSystems-and-Symbols-Promoting-HealthierChoices.aspx.
8. Centers for Disease Control and
Prevention, ‘‘2005–2006 National Health and
Examination Survey Questionnaire, Diet
Behavior and Nutrition section,’’
Unpublished results of questions DBQ.750
and DBQ.780. Questionnaire available at
https://www.cdc.gov/nchs/data/nhanes/
nhanes_05_06/sp_dbq_d.pdf.
9. U.S. Food and Drug Administration,
‘‘2008 Health and Diet Survey,’’ March 20,
2010. Available at https://www.fda.gov/Food/
ScienceResearch/ResearchAreas/Consumer
Research/ucm193895.htm.
10. Food Marketing Institute, ‘‘2009 U.S.
Grocery Shopper Trends Survey,’’
Washington, DC 2009.
11. Drichoutis, A.C., P. Lazaridis, and R.M.
Nayga, ‘‘Consumers’ Use of Nutritional
Labels: A Review of Research Studies and
Issues,’’ Academy of Marketing Science
Review, 2006(9), 2006. Available at https://
www.amsreview.org/articles/drichoutis092006.pdf.
¨
¨
12. Lahteenmaki, L., P. Lampila, K.
Grunert, et. al, ‘‘Impact of Health-Related
Claims on the Perception of Other Product
Attributes,’’ Food Policy, 23: 230–239, 2010.
13. Labiner-Wolfe, J., C.-T. J. Lin, and L.
Verrill, ‘‘Effect of Low Carbohydrate Claims
on Consumer Perceptions About Food
Products’ Healthfulness and Helpfulness for
Weight Management,’’ Journal of Nutrition
Education and Behavior, 42(5): 315–320,
2010.
14. Roe, B., A.S. Levy, and B.M. Derby,
‘‘The Impact of Health Claims on Consumer
Search and Product Evaluation Outcomes:
Evidence From FDA Experimental Data,’’
Journal of Public Policy and Marketing, 18(1):
89–105, 1999.
15. LeGault, L., M.B. Brandt, N. McCabe,
et. al, ‘‘2000–2001 Food Label and Package
Survey: An Update on Prevalence of
Nutrition Labeling and Claims on Processed,
Packaged Foods,’’ Journal of the American
Dietetic Association, 104(6): 952–958, 2004.
16. Kapsak, W.R., D. Schmidt, N.M. Childs,
et. al, ‘‘Consumer Perceptions of Graded,
Graphic and Text Label Presentations for
Qualified Health Claims,’’ Critical Reviews in
Food Science and Nutrition, 48: 248–256,
2008.
17. U.S. Food and Drug Administration,
‘‘Health and Diet Survey: Dietary Guidelines
Supplement—Report of Findings (2004 and
2005), 2008. Available at https://www.fda.gov/
Food/ScienceResearch/ResearchAreas/
ConsumerResearch/ucm080331.htm.
Dated: April 5, 2012.
David Dorsey,
Acting Association Commissioner for Policy
and Planning.
[FR Doc. 2012–8699 Filed 4–10–12; 8:45 am]
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DEPARTMENT OF HEALTH AND
HUMAN SERVICES
Food and Drug Administration
[Docket No. FDA–2012–D–0315]
International Conference on
Harmonisation; Draft Guidance for
Industry on E2C(R2) Periodic BenefitRisk Evaluation Report; Availability
AGENCY:
Food and Drug Administration,
HHS.
ACTION:
Notice.
The Food and Drug
Administration (FDA) is announcing the
availability of a draft guidance for
industry entitled ‘‘E2C(R2) Periodic
Benefit-Risk Evaluation Report.’’ The
draft guidance was prepared under the
auspices of the International Conference
on Harmonisation of Technical
Requirements for Registration of
Pharmaceuticals for Human Use (ICH).
The draft guidance updates and
combines two ICH guidances, ‘‘E2C
Clinical Safety Data Management:
Periodic Safety Update Reports for
Marketed Drugs’’ (E2C guidance) and
‘‘Addendum to E2C Clinical Safety Data
Management: Periodic Safety Update
Reports for Marketed Drugs’’
(addendum to the E2C guidance). The
draft guidance describes the format,
content, and timing of a periodic
benefit-risk evaluation report (PBRER)
for an approved drug or biologic. The
harmonized PBRER is intended to
promote a consistent approach to
periodic postmarket safety reporting
among the ICH regions and to enhance
efficiency by reducing the number of
reports generated for submission to the
regulatory authorities.
DATES: Although you can comment on
any guidance at any time (see 21 CFR
10.115(g)(5)), to ensure that the Agency
considers your comment on this draft
guidance before it begins work on the
final version of the guidance, submit
either electronic or written comments
on the draft guidance by May 11, 2012.
ADDRESSES: Submit written requests for
single copies of the draft guidance to the
Division of Drug Information, Center for
Drug Evaluation and Research, Food
and Drug Administration, 10903 New
Hampshire Ave. Bldg. 51, Rm. 2201,
Silver Spring, MD 20993–0002, or the
Office of Communication, Outreach and
Development (HFM–40), Center for
Biologics Evaluation and Research
(CBER), Food and Drug Administration,
1401 Rockville Pike, Suite 200N,
Rockville, MD 20852–1448. Send one
self-addressed adhesive label to assist
the office in processing your requests.
SUMMARY:
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The draft guidance may also be obtained
by mail by calling CBER at 1–800–835–
4709 or 301–827–1800. See the
SUPPLEMENTARY INFORMATION section for
electronic access to the draft guidance
document.
Submit electronic comments on the
draft guidance to https://
www.regulations.gov. Submit written
comments to the Division of Dockets
Management (HFA–305), Food and Drug
Administration, 5630 Fishers Lane, Rm.
1061, Rockville, MD 20852.
FOR FURTHER INFORMATION CONTACT:
Regarding the draft guidance: Andrea
Feight, Center for Drug Evaluation and
Research, Food and Drug
Administration, 10903 New Hampshire
Ave., Bldg. 22, Rm. 4494, Silver Spring,
MD 20993–0002, 301–796–0152; or
Stephen Ripley, Center for Biologics
Evaluation and Research (HFM–17),
Food and Drug Administration, 1401
Rockville Pike, Suite 200N, Rockville,
MD 20852–1448, 301–827–6210.
Regarding the ICH: Michelle Limoli,
Office of International Programs, Food
and Drug Administration, 10903 New
Hampshire Ave., Bldg. 31, Rm. 3506,
Silver Spring, MD 20993–0002, 301–
796–8377.
SUPPLEMENTARY INFORMATION:
I. Background
In recent years, many important
initiatives have been undertaken by
regulatory authorities and industry
associations to promote international
harmonization of regulatory
requirements. FDA has participated in
many meetings designed to enhance
harmonization and is committed to
seeking scientifically based harmonized
technical procedures for pharmaceutical
development. One of the goals of
harmonization is to identify and then
reduce differences in technical
requirements for drug development
among regulatory Agencies.
ICH was organized to provide an
opportunity for tripartite harmonization
initiatives to be developed with input
from both regulatory and industry
representatives. FDA also seeks input
from consumer representatives and
others. ICH is concerned with
harmonization of technical
requirements for the registration of
pharmaceutical products among three
regions: The European Union, Japan,
and the United States. The six ICH
sponsors are the European Commission;
the European Federation of
Pharmaceutical Industries Associations;
the Japanese Ministry of Health, Labour,
and Welfare; the Japanese
Pharmaceutical Manufacturers
Association; the Centers for Drug
E:\FR\FM\11APN1.SGM
11APN1
Agencies
[Federal Register Volume 77, Number 70 (Wednesday, April 11, 2012)]
[Notices]
[Pages 21779-21782]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2012-8699]
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DEPARTMENT OF HEALTH AND HUMAN SERVICES
Food and Drug Administration
[Docket No. FDA-2011-N-0221]
Agency Information Collection Activities; Submission for Office
of Management and Budget Review; Comment Request; Experimental Study on
Consumer Responses to Labeling Statements on Food Packages
AGENCY: Food and Drug Administration, HHS.
ACTION: Notice.
-----------------------------------------------------------------------
SUMMARY: The Food and Drug Administration (FDA) is announcing that a
proposed collection of information has been submitted to the Office of
Management and Budget (OMB) for review and clearance under the
Paperwork Reduction Act of 1995 (the PRA).
DATES: Fax written comments on the collection of information by May 11,
2012.
ADDRESSES: To ensure that comments on the information collection are
received, OMB recommends that written comments be faxed to the Office
of Information and Regulatory Affairs, OMB, Attn: FDA Desk Officer,
FAX: 202-395-7285, or emailed to oira_submission@omb.eop.gov. All
comments should be identified with the OMB control number 0910-New and
title ``Experimental Study on Consumer Responses to Labeling Statements
on Food Packages.'' Also include the FDA docket number found in
brackets in the heading of this document.
FOR FURTHER INFORMATION CONTACT: Denver Presley, II, Office of
Information Management, Food and Drug Administration, 1350 Piccard Dr.,
PI50-400B, Rockville, MD 20850, 301-796-3793.
SUPPLEMENTARY INFORMATION: In compliance with 44 U.S.C. 3507, FDA has
submitted the following proposed collection of information to OMB for
review and clearance.
Experimental Study on Consumer Responses to Labeling Statements on Food
Packages--(OMB Control Number 0910-NEW)
I. Background
The Nutrition Labeling and Education Act requires almost all
packaged foods to bear nutrition labeling in the form of the Nutrition
Facts label. The law also allows manufacturers to provide other
nutrition information on labels in the form of various types of
statements, including claims, as long as such statements comply with
the regulatory limits that govern the use of each type of statement.
There are three types of claims that the food industry can voluntarily
use on food labels: (1) Health claims, (2) nutrient content claims
(e.g., ``Low fat''), and (3) structure/function claims (e.g., ``Calcium
builds strong bones.''). Although the different types of claims are
regulated differently, they all must be truthful and not misleading
(Ref. 1).
With the increased public interest in identifying healthier foods,
U.S. food processors have been adding nutritional information in the
form of nutrition symbols to food labels in addition to claims.
Examples of nutrition symbols that have been used or suggested include
nutrient-specific disclosures (e.g., ``Guideline Daily Amounts'') (Ref.
2), calorie declarations (Ref. 3), summary product rating (e.g.,
``Smart Spot'') (Ref. 4), a hybrid summary indicator with nutrient-
specific disclosure (e.g., ``Sensible Solution: Good Source of Calcium,
Good Sources of 8 Vitamins and Minerals'') (Ref. 5), the Facts-Up-Front
icon, with and without positive nutrients (Ref. 6), and the symbol
recommended by the Institute of Medicine (Ref. 7). Claims related to
non-nutritional product characteristics are also used in food labeling.
The claims may feature, among other things, statements about how foods
are grown or made (e.g., ``Organic'' and ``All Natural'') or absence of
a substance (e.g., ``Gluten-free'').
Many consumers use claims and the Nutrition Facts label in food
choice decisions (Refs. 8 through 10). While some products carry only a
single labeling statement (e.g., either one claim or one symbol) on
their packages, many products carry two or more labeling statements. In
addition, on the same package the attributes of one statement may
differ from those of other statements in terms of featured nutrient,
type of claim, framing of statement, nature of statement, and
presentation of statement. For example, a package may display one or
more statements such as symbols relating to nutrition content,
statements in words relating to the presence of certain nutrients,
statements in words relating to the absence of other nutrients,
statements in words describing the health benefits of consuming foods
containing or not containing certain nutrients, and statements in words
describing how the product was produced. Moreover, all of those symbols
and statements are distributed in various places on the package in
different font sizes and colors.
There exists a large body of literature on the impacts of different
types of labeling statements on consumer perceptions and choices of
products (Refs. 11 and 12). The majority of the research, including the
consumer research that the Agency has previously conducted (Refs. 13
and 14), has focused on single labeling statements by eliciting study
participants' reactions to variants of a given statement. An advantage
of this research approach is that it helps isolate the effects of
individual statements and avoid potential confounding effects caused by
the presence of other statements. A disadvantage of this research
approach, however, is that it does not necessarily reflect the labels
consumers see in the marketplace. In particular, the existing
[[Page 21780]]
literature provides little information about how the coexistence of two
or more different labeling statements affects product perceptions and
choices. This information, however, is critical for understanding the
roles played by labeling statements in dietary decisions.
Research suggests consumer product perceptions and purchase
decisions can be influenced by labeling statements and different
labeling statements may have different influences (Refs. 11 through
14). Therefore, FDA, as part of its effort to promote public health,
proposes to use this study to explore consumer responses to food labels
that bear multiple labeling statements. Specifically, the study plans
to examine: (1) Consumer responses to food labels that exhibit various
combinations of the number and type of statements, (2) whether and how
consumer responses to one label characteristic may be affected by the
other characteristic (i.e., the interactions between different
characteristics of labeling statements), and (3) whether and how
labeling statements affect consumers' use of the Nutrition Facts label.
The proposed collection of information is a controlled randomized
experimental study. The study will use a 15-minute Web-based survey to
collect information from 4,000 English-speaking adult members of an
online consumer panel maintained by a contractor. The study will aim to
produce a sample that reflects the U.S. Census on gender, education,
age, and ethnicity/race.
The study will randomly assign each of its participants to view two
label images from a set of food labels that will be created for the
study. These images will be systematically varied in the following
aspects: (1) Number of statements (ranging from none to three); (2)
featured nutrient and food product (fat--snack bar, sodium--chips, or
fiber--breakfast cereal); (3) type of statement (text such as
``Supports Cardiovascular Functioning'' or graphic, specifically the
Facts-Up-Front icons and one of the icon concepts proposed by the
Institute of Medicine) (Refs. 13 and 14); and (4) nature of featured
product attribute (such as ``Supports the Immune System'' or ``All
Natural''). With regard to claims, the study will focus on examples of
nutrient content claims and structure/function claims that can be found
on many food packages (Ref. 15). All label images will be mockups
resembling food labels that may be found in the marketplace. Images
will show product identity (e.g., tortilla chips) but not any real or
fictitious brand name. The study will provide interested participants
access to the Nutrition Facts label but not together with a product
image.
The survey will ask its participants to view label images and
answer questions about their perceptions and reactions related to the
viewed product and label. Product perceptions (e.g., healthfulness,
potential health benefits, levels of nutrients, and taste) and label
perceptions (e.g., helpfulness and credibility) will constitute the
measures of responses in the experiment. To help understand the data,
the survey will also collect information about participants'
background, such as familiarity with and consumption, purchase, and
perception of the categories of food included in the study; awareness
and knowledge of nutrients; dietary interests; motivation regarding
label use and health literacy; and health status and demographic
characteristics.
The study is part of the Agency's continuing effort to enable
consumers to make informed dietary choices and construct healthful
diets. Results of the study will be used primarily to enrich the
Agency's understanding of how multiple claims and other labeling
statements on food packages may affect how consumers perceive a product
or a label, which may in turn affect their dietary choices. Results of
the study will not be used to develop population estimates.
In the Federal Register of April 13, 2011 (76 FR 20675), FDA
published a 60-day notice requesting public comment on the proposed
collection of information. The Agency received four responses to the
notice. One of the responses was outside of the scope of the proposed
collection of information described in the 60-day notice and is not
addressed here. The remaining three responses contained multiple
comments. These comments, and the Agency's responses, are discussed in
the following paragraphs.
(Comment 1) Two comments suggested that FDA provide mock stimuli
for public comment prior to initiating the study.
(Response) We appreciate the suggestion for the Agency to provide
the experimental stimuli for public comment prior to initiating the
study. Per the PRA, a copy of the proposed experimental stimuli is
provided in the Appendix of the supporting document.
(Comment 2) One comment suggested that the study include questions
to probe how non-misleading nutrient content, health, and structure/
function claims may improve consumers' understanding of a product's
nutritional attributes.
(Response) We agree and have included measures to assess how
participants' understanding of a product's nutritional attributes may
be affected by non-misleading claims.
(Comment 3) Two comments expressed concerns about four questions
proposed in the draft questionnaire. Two of the questions of concern
asked if participants had ever heard or read that certain foods
(unnamed) may help lower the risk of seven different types of health
problems, such as cancer, diabetes, and others. The third and fourth
questions of concern asked whether specific nutrients (e.g., calcium,
potassium, etc.) or a particular food product, respectively, might help
reduce the risk of the same health problems asked about in the other
two questions. Both comments suggested that such questions would
demonstrate that ``consumers misinterpret structure function claims as
health claims'' and argued that such a demonstration would be
inconsistent with the stated purpose of the information collection.
(Response) FDA does not agree that the proposed questions on
participants' prior knowledge of foods' health benefits and inferences
from reading a label would bias the study toward health claims rather
than structure/function claims. Since label inferences can be affected
by what consumers already know or believe about a food, the prior
knowledge questions are included to help understand study participants'
reactions to labeling statements. The question about perceived health
benefits of a product is one of the most important measures of label
inferences. The Agency's previous research has shown that consumer
inferences of the health benefits of a product do not necessarily vary
between types of labeling statements (i.e., health claims, structure/
function claims, and nutrient content claims). Hence, this question is
not expected to produce erroneous data with respect to inferences about
structure/function claims.
(Comment 4) One comment suggested that FDA consider including an
experimental condition in which participants would view a label bearing
up to three different labeling statements because consumers are
routinely exposed to this amount of information on food packages. In
the originally proposed design, FDA included label manipulations
involving only up to two different labeling statements.
(Response) We agree with the comment and have revised the study to
include experimental conditions containing up to three labeling
statements on a label.
(Comment 5) One comment suggested including an assessment of how
the
[[Page 21781]]
various labeling statements affect whether participants intend to
purchase the product or not.
(Response) As we proposed in the draft questionnaire, we will
include a question about purchase intention.
(Comment 6) One commenter noted that prior research has shown that
the appearance of packaging and statements on the front of the package
can increase the likelihood of consumers using the Nutrition Facts
label.
(Response) FDA agrees that information about consumers' use of the
Nutrition Facts label is important and plans to record and analyze how
likely the study's participants are to consult the Nutrition Facts
label when viewing claims and other statements on the front label of a
product.
(Comment 7) One comment questioned the relevance of asking
participants to rate the safety or trustworthiness of a product based
on the label information they view.
(Response) Although the label content of a product may not be
intended to influence consumer assumptions regarding the safety of a
product, prior research has demonstrated that such influence may occur
(Ref. 16). Therefore, it would be useful to understand whether similar
reactions happen in a multiclaim context. Nevertheless, the products
that the proposed study plans to include (breakfast cereal, chips, and
snack bars) are generally not associated with safety issues that may
lead to foodborne illness or other safety hazards. Therefore, the study
will omit the proposed question on perceived product safety. On the
other hand, the Agency has determined that it is still important and
relevant to elicit study participants' perceptions of the
trustworthiness of various labeling statements (not foods, as stated in
the comment), especially when these statements feature different
nutrients or product benefits. Thus, the study will keep the proposed
question on perceived trustworthiness of the label.
(Comment 8) One comment suggested that the study ask about
participants' interest in nutrients for which there is concern of
inadequate intake among Americans. The comment recommended replacing
Vitamin D and omega-3 fatty acids for Vitamins A and C, as proposed in
the previous draft questionnaire.
(Response) We agree with the comment and have incorporated the
suggestion in the revised questionnaire.
(Comment 9) One comment suggested that a plausible distractor or
wrong choice be included in the question about the nutrients
participants try to limit or increase in their diet to test the
validity of the responses.
(Response) We disagree with the comment. Our previous surveys
indicate respondents can provide valid responses to these questions
(for example, Ref. 17). Furthermore, we are concerned that the validity
of the responses would suffer if a distractor or wrong choice is
included because participants may be confused by the presence of such
options in the question.
To help design and refine the questionnaire, FDA plans to conduct
cognitive interviews by screening 72 panelists in order to obtain 9
participants in the interviews. Each screening is expected to take 5
minutes (0.083 hour), and each cognitive interview is expected to take
1 hour. The total for cognitive interview activities is 15 hours (6
hours + 9 hours). Subsequently, we plan to conduct pretests of the
questionnaire before it is administered in the study. We expect that
1,600 invitations, each taking 2 minutes (0.033 hour), will need to be
sent to panelists to have 200 of them complete a 15-minute (0.25 hour)
pretest. The total for the pretest activities is 103 hours (53 hours +
50 hours). For the survey, we estimate that 32,000 invitations, each
taking 2 minutes (0.033 hour) to complete, will need to be sent to the
consumer panel to have 4,000 of its members complete a 15-minute (0.25
hour) questionnaire. The total for the survey activities is 2,056 hours
(1,056 hours + 1,000 hours). Thus, the total estimated burden is 2,174
hours. FDA's burden estimate is based on prior experience with research
that is similar to this proposed study.
FDA estimates the burden of this collection of information as
follows:
Table 1--Estimated Annual Reporting Burden \1\
--------------------------------------------------------------------------------------------------------------------------------------------------------
No. of
Activity No. of responses per Total annual Average burden per Total hours
respondents respondent responses response
--------------------------------------------------------------------------------------------------------------------------------------------------------
Cognitive interview screener.............................. 72 1 72 0.083 (5 minutes) 6
Cognitive interview....................................... 9 1 9 1 hour 9
Pretest invitation........................................ 1,600 1 1,600 0.033 (2 minutes) 53
Pretest................................................... 200 1 200 0.25 (15 minutes) 50
Survey invitation......................................... 32,000 1 32,000 0.033 (2 minutes) 1,056
Survey.................................................... 4,000 1 4,000 0.25 (15 minutes) 1,000
---------------------------------------------------------------------------------------------
Total................................................. .............. .............. .............. ............................ 2,174
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ There are no capital costs or operating and maintenance costs associated with this collection of information.
II. 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 any subsequent changes to the Web site after this document
publishes in the Federal Register.)
1. U.S. Food and Drug Administration, ``Claims That Can Be Made
for Conventional Foods and Dietary Supplements,'' September 2003.
Available at https://www.fda.gov/Food/LabelingNutrition/LabelClaims/ucm111447.htm.
2. Kellogg's, ``How to Read a Nutrition Label,'' 2010. Available
at https://www.kelloggs.com/en_US/the-benefits-of-cereal/how-to-read-a-nutrition-label.html.
3. PepsiCo, ``Nutrition Labeling,'' 2010. Available at https://www.pepsico.com/Purpose/Human-Sustainability/Nutrition-Labeling.html.
4. Schmit, J., ``PepsiCo Labels Some of Its Snacks `Smart,' ''
USA Today, September 2, 2004. Available at https://www.usatoday.com/money/industries/food/2004-09-02-smart-spot_x.htm.
5. Kraft Foods, ``Sensible Solution,'' 2010. Available at https://www.kraftrecipes.com/kf/HealthyLiving/SensibleSolution/SensibleSolution_Landing.aspx.
6. FactsUpFront.org, ``Facts Up Front,'' 2011. Available at
https://factsupfront.com/.
7. Institute of Medicine, ``Front-of-Package Nutrition Rating
Systems and Symbols: Promoting Healthier Choices,'' 2011. Available
at https://www.iom.edu/Reports/
[[Page 21782]]
2011/Front-of-Package-Nutrition-Rating-Systems-and-Symbols-
Promoting-Healthier-Choices.aspx.
8. Centers for Disease Control and Prevention, ``2005-2006
National Health and Examination Survey Questionnaire, Diet Behavior
and Nutrition section,'' Unpublished results of questions DBQ.750
and DBQ.780. Questionnaire available at https://www.cdc.gov/nchs/data/nhanes/nhanes_05_06/sp_dbq_d.pdf.
9. U.S. Food and Drug Administration, ``2008 Health and Diet
Survey,'' March 20, 2010. Available at https://www.fda.gov/Food/ScienceResearch/ResearchAreas/ConsumerResearch/ucm193895.htm.
10. Food Marketing Institute, ``2009 U.S. Grocery Shopper Trends
Survey,'' Washington, DC 2009.
11. Drichoutis, A.C., P. Lazaridis, and R.M. Nayga, ``Consumers'
Use of Nutritional Labels: A Review of Research Studies and
Issues,'' Academy of Marketing Science Review, 2006(9), 2006.
Available at https://www.amsreview.org/articles/drichoutis09-2006.pdf.
12. L[auml]hteenm[auml]ki, L., P. Lampila, K. Grunert, et. al,
``Impact of Health-Related Claims on the Perception of Other Product
Attributes,'' Food Policy, 23: 230-239, 2010.
13. Labiner-Wolfe, J., C.-T. J. Lin, and L. Verrill, ``Effect of
Low Carbohydrate Claims on Consumer Perceptions About Food Products'
Healthfulness and Helpfulness for Weight Management,'' Journal of
Nutrition Education and Behavior, 42(5): 315-320, 2010.
14. Roe, B., A.S. Levy, and B.M. Derby, ``The Impact of Health
Claims on Consumer Search and Product Evaluation Outcomes: Evidence
From FDA Experimental Data,'' Journal of Public Policy and
Marketing, 18(1): 89-105, 1999.
15. LeGault, L., M.B. Brandt, N. McCabe, et. al, ``2000-2001
Food Label and Package Survey: An Update on Prevalence of Nutrition
Labeling and Claims on Processed, Packaged Foods,'' Journal of the
American Dietetic Association, 104(6): 952-958, 2004.
16. Kapsak, W.R., D. Schmidt, N.M. Childs, et. al, ``Consumer
Perceptions of Graded, Graphic and Text Label Presentations for
Qualified Health Claims,'' Critical Reviews in Food Science and
Nutrition, 48: 248-256, 2008.
17. U.S. Food and Drug Administration, ``Health and Diet Survey:
Dietary Guidelines Supplement--Report of Findings (2004 and 2005),
2008. Available at https://www.fda.gov/Food/ScienceResearch/ResearchAreas/ConsumerResearch/ucm080331.htm.
Dated: April 5, 2012.
David Dorsey,
Acting Association Commissioner for Policy and Planning.
[FR Doc. 2012-8699 Filed 4-10-12; 8:45 am]
BILLING CODE 4160-01-P