Understanding Potential Intervention Measures To Reduce the Risk of Foodborne Illness From Consumption of Cheese Manufactured From Unpasteurized Milk, 46023-46024 [2015-18972]
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Federal Register / Vol. 80, No. 148 / Monday, August 3, 2015 / Notices
from locations, and monitoring product
disposition. The direct hours spent on
each such recall will be billed at the
appropriate hourly rate shown in table
2 of this document.
V. How must the fees be paid?
An invoice will be sent to the
responsible party for paying the fee after
FDA completes the work on which the
invoice is based. Payment must be made
within 90 days of the invoice date in
U.S. currency by check, bank draft, or
U.S. postal money order payable to the
order of the Food and Drug
Administration. Detailed payment
information will be included with the
invoice when it is issued.
VI. What are the consequences of not
paying these fees?
Under section 743(e)(2) of the FD&C
Act, any fee that is not paid within 30
days after it is due shall be treated as a
claim of the U.S. Government subject to
provisions of subchapter II of chapter 37
of title 31, United States Code.
Dated: July 28, 2015.
Leslie Kux,
Associate Commissioner for Policy.
[FR Doc. 2015–18906 Filed 7–31–15; 8:45 am]
BILLING CODE 4164–01–P
DEPARTMENT OF HEALTH AND
HUMAN SERVICES
Food and Drug Administration
[Docket No. FDA–2015–N–2596]
Understanding Potential Intervention
Measures To Reduce the Risk of
Foodborne Illness From Consumption
of Cheese Manufactured From
Unpasteurized Milk
AGENCY:
Food and Drug Administration,
HHS.
Notice; request for comments
and for scientific data and information.
ACTION:
The Food and Drug
Administration (FDA or we) is
requesting comments and scientific data
and information that would assist us in
identifying and evaluating intervention
measures that might have an effect on
the presence of bacterial pathogens in
cheeses manufactured from
unpasteurized milk. We are taking this
action in light of scientific data on
potential health risks associated with
consumption of cheese made from
unpasteurized milk.
DATES: Submit either electronic or
written comments and scientific data
and information by November 2, 2015.
ADDRESSES: Submit electronic
comments and scientific data and
mstockstill on DSK4VPTVN1PROD with NOTICES
SUMMARY:
VerDate Sep<11>2014
18:35 Jul 31, 2015
Jkt 235001
information to https://
www.regulations.gov. Submit written
comments and scientific data and
information to Division of Dockets
Management (HFA–305), Food and Drug
Administration, 5630 Fishers Lane, Rm.
1061, Rockville, MD 20852.
FOR FURTHER INFORMATION CONTACT:
Andrew Yeung, Center for Food Safety
and Applied Nutrition (HFS–316), Food
and Drug Administration, 5100 Paint
Branch Pkwy., College Park, MD 20740–
3835, 240–402–1541, andrew.yeung@
fda.hhs.gov.
SUPPLEMENTARY INFORMATION:
I. Background
A 2012 review of outbreaks of
foodborne illness that occurred in the
United States between 1993 and 2006
that were attributed to dairy products
determined that more than 50 percent of
the outbreaks reviewed in the study
involved cheese, with the remaining
outbreaks being attributable to fluid
milk (Ref. 1). Forty-two percent of the
65 cheese-associated outbreaks (i.e., 27
outbreaks) were attributable to products
manufactured from unpasteurized milk,
even though the contribution of
unpasteurized dairy products to all
dairy product consumption in the
United States during the time period
under study was estimated at below 1
percent (on a weight or volume base)
(Ref. 1). The 65 analyzed outbreaks due
to cheese made from unpasteurized milk
resulted in 641 associated illnesses with
131 hospitalizations (i.e., a
hospitalization rate of more than 20
percent). Pathogens associated with
these outbreaks included Listeria
monocytogenes, Escherichia coli (E.
coli) O157, Salmonella, and others (Ref.
1). All of these pathogens can cause
significant illness and even death.
FDA and Health Canada recently
collaborated on the development of a
model to evaluate the impact of factors,
such as the microbiological status of
milk used in cheese production, various
cheese manufacturing steps, conditions
during distribution and storage, and
cross-contamination during processing
and handling, on the public health risk
of listeriosis from consumption of softripened cheese. Elsewhere in this issue
of the Federal Register, we are
announcing the release of the ‘‘Joint
Food and Drug Administration/Health
´
Canada—Sante Canada Quantitative
Assessment of the Risk of Listeriosis
From Soft-Ripened Cheese
Consumption in the United States and
Canada’’ (the FDA/Health Canada QRA)
(Ref. 2).
FDA establishes food standards of
identity, to promote honesty and fair
PO 00000
Frm 00092
Fmt 4703
Sfmt 4703
46023
dealing in the interest of consumers,
under the authority set forth in section
401 of the Federal Food, Drug, and
Cosmetic Act (the FD&C Act) (21 U.S.C.
341). Some of these standards of
identity (e.g., the standard of identity for
soft-ripened cheese in § 133.182 (21 CFR
133.182)) permit the manufacture of
cheese from unpasteurized milk. These
standards of identity specify that the
process for cheese manufactured from
unpasteurized milk include an aging
period. A typical aging period is not less
than 60 days at not less than 35 °F (see
§ 133.182(a) in the standard of identity
for soft-ripened cheese).
The aging period for cheese
manufactured from unpasteurized milk
was presumed to act as a control
measure to reduce the risk that
pathogens would be present when the
cheese was consumed. However, the
available data and information raise
questions about the safety of cheese
manufactured from unpasteurized milk,
even when aged. For example, research
has demonstrated that pathogens such
as E. coli O157:H7 can survive a 60-day
aging period in a hard cheese such as
Cheddar cheese (Refs. 3 and 4). In
addition, a 1997 memorandum from a
subcommittee of the National Advisory
Committee on Microbiological Criteria
for Foods stated that the scientific
literature confirms that pathogens can
survive the 60-day aging process for
cheeses manufactured using
unpasteurized milk (Ref. 5). More
recently, the results of the FDA/Health
Canada QRA suggest that the 60-day
aging period for soft-ripened cheese may
increase the risk of listeriosis from
consumption of soft-ripened cheese by
allowing more time for L.
monocytogenes, if present, to multiply
(rather than decrease) as the softripened cheese ages (Ref. 6).
FDA recognizes that there is broad
diversity in cheese manufacturing
operations and approaches and that
many factors go into ensuring the safety
of the food. Many types of raw milk
cheeses are made using traditional
methods that require a successful
balance involving the quality of the
milk, the equipment, and the
environment, including ensuring the
presence of bacteria critical to the
nature of the cheese while preventing
the introduction or growth of pathogens.
In issuing this call for data and
information, we are particularly
interested in learning more about the
standards and practices in use by the
growing artisanal cheese manufacturing
community.
E:\FR\FM\03AUN1.SGM
03AUN1
46024
Federal Register / Vol. 80, No. 148 / Monday, August 3, 2015 / Notices
mstockstill on DSK4VPTVN1PROD with NOTICES
II. Request for Comments, Scientific
Data, and Information
We are continuing to evaluate the
safety of processes for the manufacture
of cheese, particularly processes for the
manufacture of cheese from
unpasteurized milk. We are requesting
comments and scientific data and other
information to:
• Understand what (if any) aspects of
the current regulatory framework for the
production of cheese manufactured
from unpasteurized milk act as an
impediment to efficient and effective
control measures to significantly
minimize pathogens that may be present
in unpasteurized milk.
• Understand current practices to
reduce the potential for foodborne
illness during the manufacture of cheese
from unpasteurized milk. To what
extent do producers of cheese
manufactured from unpasteurized milk
solely rely on an aging period to
significantly minimize pathogens that
may be present in unpasteurized
cheese? If such producers rely on
control measures other than the aging
process, what are those control
measures and what is the prevalence of
those control measures among such
producers? How effective and practical
are these control measures?
• Understand the availability and
feasibility of various treatments (e.g., to
achieve bacterial reductions of from
100- to 1,000,000-fold) that could
reduce the risk of listeriosis and other
foodborne illness from the consumption
of all types of cheeses manufactured
from unpasteurized milk. We are aware
of non-thermal control measures such as
added substances (such as bacteriocins,
lactoferrins, lysozyme, other enzymes,
and salt), bactofugation, carbon dioxide,
high hydrostatic pressure,
microfiltration, microwave, pulsed
electric field, pulsed light, ultrasound,
and ultraviolet light. However, we
would like to receive additional data
regarding the efficacy, on a consistent
basis, of such treatments when used to
minimize the broad spectrum of
pathogens that may be present in
unpasteurized milk.
• Evaluate the impact of the currently
required 60-day minimum aging period
for soft-ripened cheese on pathogens
other than L. monocytogenes in softripened cheese. For example, how does
the minimum aging period affect the
safety of the cheese with respect to
pathogens other than L. monocytogenes?
Are there alternatives to the currently
required 60-day aging period for softripened cheese that would ensure the
safety of such cheese with respect to
these pathogens?
VerDate Sep<11>2014
18:35 Jul 31, 2015
Jkt 235001
• Evaluate the impact on pathogens of
a minimum aging period for all those
cheeses that are subject to a required
minimum aging period through an
applicable standard of identity. As
discussed in section I, research and a
literature review show that pathogens
can survive the 60-day aging process for
cheeses manufactured using
unpasteurized milk. For pathogens other
than L. monocytogenes, is a 60-day
aging period effective in adequately
reducing a broad spectrum of pathogens
that could be in cheese manufactured
from unpasteurized milk?
• Determine whether, consistent with
modern international approaches to
food safety (Ref. 7), a performance
objective (or standard) for L.
monocytogenes should be used as a
replacement for the 60-day aging
requirement and whether a second
performance standard for Gram-negative
enteric pathogens should also be used.
If a second performance standard is
used for Gram-negative enteric
pathogens, which Gram-negative
pathogen should be specified?
• Understand the prevalence of
testing during manufacture (e.g., testing
for pathogens of each lot of cheese
manufactured from unpasteurized milk
and of bulk shipments of unpasteurized
milk). If testing is not currently being
used, how practical would such testing
be? How much would it cost?
• Determine the extent to which
consumers understand the risk of
foodborne listeriosis or other illness
from consumption of cheese
manufactured from unpasteurized milk.
To what extent are consumers aware
that an aging process has had (and may
continue to have) a role in food safety
as well as a role in the particular type
of cheese produced? To what extent do
consumers consider whether a cheese is
made from pasteurized or unpasteurized
milk in making purchase decisions?
III. Comments
Interested persons may submit either
electronic comments and scientific data
and information regarding this
document to https://www.regulations.gov
or written comments and scientific data
and information to the Division of
Dockets Management (see ADDRESSES). It
is only necessary to send one set of
comments. Identify submissions with
the docket number found in brackets in
the heading of this document. Received
comments may be seen in the Division
of Dockets Management between 9 a.m.
and 4 p.m., Monday through Friday, and
will be posted to the docket at https://
www.regulations.gov.
PO 00000
Frm 00093
Fmt 4703
Sfmt 9990
X. References
The following references are on
display in the Division of Dockets
Management (see ADDRESSES) and are
available for viewing by interested
persons between 9 a.m. and 4 p.m.,
Monday through Friday; they are also
available electronically at https://
www.regulations.gov. (FDA has verified
the Web site addresses, but we are not
responsible for any subsequent changes
to the Web sites after this document
publishes in the Federal Register.)
1. Langer, A. J., T. Ayers, J. Grass, et al.,
‘‘Nonpasteurized Dairy Products, Disease
Outbreaks, and State Laws—United
States, 1993–2006,’’ Emerging Infectious
Disease 18(3): 385–391, 2012.
2. FDA and Health Canada, ‘‘Joint Food and
Drug Administration/Health Canada—
´
Sante Canada Quantitative Assessment
of the Risk of Listeriosis from SoftRipened Cheese Consumption in the
United States and Canada.’’ Accessible at
https://www.fda.gov/Food/FoodScience
Research/RiskSafetyAssessment/
default.htm and https://www.fda.gov/
ScienceResearch/SpecialTopics/Peer
ReviewofScientificInformationand
Assessments/ucm079120.htm (2015).
3. Reitsma, C.J. and D.R. Henning, ‘‘Survival
of Enterohemorrhagic Escherichia coli
O157:H7 During the Manufacture and
Curing of Cheddar Cheese,’’ Journal of
Food Protection, 59(5): 460–464, 1996.
4. Schlesser, J.E., R, Gerdes, S. Ravishankar,
et al, ‘‘Survival of a Five-Strain Cocktail
of Escherichia coli O157:H7 During the
60-Day Aging Period of Cheddar Cheese
Made from Unpasteurized Milk,’’ Journal
of Food Protection, 69(5):990–998, 2006.
5. Memorandum from Chair, Cheese
Subcommittee of the National Advisory
Committee on Microbiological Criteria
for Foods to Chair, National Advisory
Committee on Microbiological Criteria
for Foods, ‘‘Review of Scientific
Literature Regarding the Sixty-Day Aging
Process for Hard Cheese,’’ April 3, 1997.
6. FDA and Health Canada, ‘‘Joint Food and
Drug Administration/Health Canada—
´
Sante Canada Quantitative Assessment
of the Risk of Listeriosis from SoftRipened Cheese Consumption in the
United States and Canada: Interpretative
Summary.’’ Accessible at https://
www.fda.gov/Food/
FoodScienceResearch/
RiskSafetyAssessment/default.htm and
https://www.fda.gov/ScienceResearch/
SpecialTopics/PeerReviewofScientific
InformationandAssessments/
ucm079120.htm (2015).
7. Codex Alimentarius Commission,
‘‘Principles and Guidelines for the
Establishment and Application of
Microbiological Criteria Related to
Foods, CAC/GL 21–1997,’’ 1997.
Dated: July 29, 2015.
Leslie Kux,
Associate Commissioner for Policy.
[FR Doc. 2015–18972 Filed 7–31–15; 8:45 am]
BILLING CODE 4164–01–P
E:\FR\FM\03AUN1.SGM
03AUN1
Agencies
[Federal Register Volume 80, Number 148 (Monday, August 3, 2015)]
[Notices]
[Pages 46023-46024]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2015-18972]
-----------------------------------------------------------------------
DEPARTMENT OF HEALTH AND HUMAN SERVICES
Food and Drug Administration
[Docket No. FDA-2015-N-2596]
Understanding Potential Intervention Measures To Reduce the Risk
of Foodborne Illness From Consumption of Cheese Manufactured From
Unpasteurized Milk
AGENCY: Food and Drug Administration, HHS.
ACTION: Notice; request for comments and for scientific data and
information.
-----------------------------------------------------------------------
SUMMARY: The Food and Drug Administration (FDA or we) is requesting
comments and scientific data and information that would assist us in
identifying and evaluating intervention measures that might have an
effect on the presence of bacterial pathogens in cheeses manufactured
from unpasteurized milk. We are taking this action in light of
scientific data on potential health risks associated with consumption
of cheese made from unpasteurized milk.
DATES: Submit either electronic or written comments and scientific data
and information by November 2, 2015.
ADDRESSES: Submit electronic comments and scientific data and
information to https://www.regulations.gov. Submit written comments and
scientific data and information to Division of Dockets Management (HFA-
305), Food and Drug Administration, 5630 Fishers Lane, Rm. 1061,
Rockville, MD 20852.
FOR FURTHER INFORMATION CONTACT: Andrew Yeung, Center for Food Safety
and Applied Nutrition (HFS-316), Food and Drug Administration, 5100
Paint Branch Pkwy., College Park, MD 20740-3835, 240-402-1541,
andrew.yeung@fda.hhs.gov.
SUPPLEMENTARY INFORMATION:
I. Background
A 2012 review of outbreaks of foodborne illness that occurred in
the United States between 1993 and 2006 that were attributed to dairy
products determined that more than 50 percent of the outbreaks reviewed
in the study involved cheese, with the remaining outbreaks being
attributable to fluid milk (Ref. 1). Forty-two percent of the 65
cheese-associated outbreaks (i.e., 27 outbreaks) were attributable to
products manufactured from unpasteurized milk, even though the
contribution of unpasteurized dairy products to all dairy product
consumption in the United States during the time period under study was
estimated at below 1 percent (on a weight or volume base) (Ref. 1). The
65 analyzed outbreaks due to cheese made from unpasteurized milk
resulted in 641 associated illnesses with 131 hospitalizations (i.e., a
hospitalization rate of more than 20 percent). Pathogens associated
with these outbreaks included Listeria monocytogenes, Escherichia coli
(E. coli) O157, Salmonella, and others (Ref. 1). All of these pathogens
can cause significant illness and even death.
FDA and Health Canada recently collaborated on the development of a
model to evaluate the impact of factors, such as the microbiological
status of milk used in cheese production, various cheese manufacturing
steps, conditions during distribution and storage, and cross-
contamination during processing and handling, on the public health risk
of listeriosis from consumption of soft-ripened cheese. Elsewhere in
this issue of the Federal Register, we are announcing the release of
the ``Joint Food and Drug Administration/Health Canada--Sant[eacute]
Canada Quantitative Assessment of the Risk of Listeriosis From Soft-
Ripened Cheese Consumption in the United States and Canada'' (the FDA/
Health Canada QRA) (Ref. 2).
FDA establishes food standards of identity, to promote honesty and
fair dealing in the interest of consumers, under the authority set
forth in section 401 of the Federal Food, Drug, and Cosmetic Act (the
FD&C Act) (21 U.S.C. 341). Some of these standards of identity (e.g.,
the standard of identity for soft-ripened cheese in Sec. 133.182 (21
CFR 133.182)) permit the manufacture of cheese from unpasteurized milk.
These standards of identity specify that the process for cheese
manufactured from unpasteurized milk include an aging period. A typical
aging period is not less than 60 days at not less than 35 [deg]F (see
Sec. 133.182(a) in the standard of identity for soft-ripened cheese).
The aging period for cheese manufactured from unpasteurized milk
was presumed to act as a control measure to reduce the risk that
pathogens would be present when the cheese was consumed. However, the
available data and information raise questions about the safety of
cheese manufactured from unpasteurized milk, even when aged. For
example, research has demonstrated that pathogens such as E. coli
O157:H7 can survive a 60-day aging period in a hard cheese such as
Cheddar cheese (Refs. 3 and 4). In addition, a 1997 memorandum from a
subcommittee of the National Advisory Committee on Microbiological
Criteria for Foods stated that the scientific literature confirms that
pathogens can survive the 60-day aging process for cheeses manufactured
using unpasteurized milk (Ref. 5). More recently, the results of the
FDA/Health Canada QRA suggest that the 60-day aging period for soft-
ripened cheese may increase the risk of listeriosis from consumption of
soft-ripened cheese by allowing more time for L. monocytogenes, if
present, to multiply (rather than decrease) as the soft-ripened cheese
ages (Ref. 6).
FDA recognizes that there is broad diversity in cheese
manufacturing operations and approaches and that many factors go into
ensuring the safety of the food. Many types of raw milk cheeses are
made using traditional methods that require a successful balance
involving the quality of the milk, the equipment, and the environment,
including ensuring the presence of bacteria critical to the nature of
the cheese while preventing the introduction or growth of pathogens. In
issuing this call for data and information, we are particularly
interested in learning more about the standards and practices in use by
the growing artisanal cheese manufacturing community.
[[Page 46024]]
II. Request for Comments, Scientific Data, and Information
We are continuing to evaluate the safety of processes for the
manufacture of cheese, particularly processes for the manufacture of
cheese from unpasteurized milk. We are requesting comments and
scientific data and other information to:
Understand what (if any) aspects of the current regulatory
framework for the production of cheese manufactured from unpasteurized
milk act as an impediment to efficient and effective control measures
to significantly minimize pathogens that may be present in
unpasteurized milk.
Understand current practices to reduce the potential for
foodborne illness during the manufacture of cheese from unpasteurized
milk. To what extent do producers of cheese manufactured from
unpasteurized milk solely rely on an aging period to significantly
minimize pathogens that may be present in unpasteurized cheese? If such
producers rely on control measures other than the aging process, what
are those control measures and what is the prevalence of those control
measures among such producers? How effective and practical are these
control measures?
Understand the availability and feasibility of various
treatments (e.g., to achieve bacterial reductions of from 100- to
1,000,000-fold) that could reduce the risk of listeriosis and other
foodborne illness from the consumption of all types of cheeses
manufactured from unpasteurized milk. We are aware of non-thermal
control measures such as added substances (such as bacteriocins,
lactoferrins, lysozyme, other enzymes, and salt), bactofugation, carbon
dioxide, high hydrostatic pressure, microfiltration, microwave, pulsed
electric field, pulsed light, ultrasound, and ultraviolet light.
However, we would like to receive additional data regarding the
efficacy, on a consistent basis, of such treatments when used to
minimize the broad spectrum of pathogens that may be present in
unpasteurized milk.
Evaluate the impact of the currently required 60-day
minimum aging period for soft-ripened cheese on pathogens other than L.
monocytogenes in soft-ripened cheese. For example, how does the minimum
aging period affect the safety of the cheese with respect to pathogens
other than L. monocytogenes? Are there alternatives to the currently
required 60-day aging period for soft-ripened cheese that would ensure
the safety of such cheese with respect to these pathogens?
Evaluate the impact on pathogens of a minimum aging period
for all those cheeses that are subject to a required minimum aging
period through an applicable standard of identity. As discussed in
section I, research and a literature review show that pathogens can
survive the 60-day aging process for cheeses manufactured using
unpasteurized milk. For pathogens other than L. monocytogenes, is a 60-
day aging period effective in adequately reducing a broad spectrum of
pathogens that could be in cheese manufactured from unpasteurized milk?
Determine whether, consistent with modern international
approaches to food safety (Ref. 7), a performance objective (or
standard) for L. monocytogenes should be used as a replacement for the
60-day aging requirement and whether a second performance standard for
Gram-negative enteric pathogens should also be used. If a second
performance standard is used for Gram-negative enteric pathogens, which
Gram-negative pathogen should be specified?
Understand the prevalence of testing during manufacture
(e.g., testing for pathogens of each lot of cheese manufactured from
unpasteurized milk and of bulk shipments of unpasteurized milk). If
testing is not currently being used, how practical would such testing
be? How much would it cost?
Determine the extent to which consumers understand the
risk of foodborne listeriosis or other illness from consumption of
cheese manufactured from unpasteurized milk. To what extent are
consumers aware that an aging process has had (and may continue to
have) a role in food safety as well as a role in the particular type of
cheese produced? To what extent do consumers consider whether a cheese
is made from pasteurized or unpasteurized milk in making purchase
decisions?
III. Comments
Interested persons may submit either electronic comments and
scientific data and information regarding this document to https://www.regulations.gov or written comments and scientific data and
information to the Division of Dockets Management (see ADDRESSES). It
is only necessary to send one set of comments. Identify submissions
with the docket number found in brackets in the heading of this
document. Received comments may be seen in the Division of Dockets
Management between 9 a.m. and 4 p.m., Monday through Friday, and will
be posted to the docket at https://www.regulations.gov.
X. References
The following references are on display in the Division of Dockets
Management (see ADDRESSES) and are available for viewing by interested
persons between 9 a.m. and 4 p.m., Monday through Friday; they are also
available electronically at https://www.regulations.gov. (FDA has
verified the Web site addresses, but we are not responsible for any
subsequent changes to the Web sites after this document publishes in
the Federal Register.)
1. Langer, A. J., T. Ayers, J. Grass, et al., ``Nonpasteurized Dairy
Products, Disease Outbreaks, and State Laws--United States, 1993-
2006,'' Emerging Infectious Disease 18(3): 385-391, 2012.
2. FDA and Health Canada, ``Joint Food and Drug Administration/
Health Canada--Sant[eacute] Canada Quantitative Assessment of the
Risk of Listeriosis from Soft-Ripened Cheese Consumption in the
United States and Canada.'' Accessible at https://www.fda.gov/Food/FoodScienceResearch/RiskSafetyAssessment/default.htm and https://www.fda.gov/ScienceResearch/SpecialTopics/PeerReviewofScientificInformationandAssessments/ucm079120.htm
(2015).
3. Reitsma, C.J. and D.R. Henning, ``Survival of Enterohemorrhagic
Escherichia coli O157:H7 During the Manufacture and Curing of
Cheddar Cheese,'' Journal of Food Protection, 59(5): 460-464, 1996.
4. Schlesser, J.E., R, Gerdes, S. Ravishankar, et al, ``Survival of
a Five-Strain Cocktail of Escherichia coli O157:H7 During the 60-Day
Aging Period of Cheddar Cheese Made from Unpasteurized Milk,''
Journal of Food Protection, 69(5):990-998, 2006.
5. Memorandum from Chair, Cheese Subcommittee of the National
Advisory Committee on Microbiological Criteria for Foods to Chair,
National Advisory Committee on Microbiological Criteria for Foods,
``Review of Scientific Literature Regarding the Sixty-Day Aging
Process for Hard Cheese,'' April 3, 1997.
6. FDA and Health Canada, ``Joint Food and Drug Administration/
Health Canada--Sant[eacute] Canada Quantitative Assessment of the
Risk of Listeriosis from Soft-Ripened Cheese Consumption in the
United States and Canada: Interpretative Summary.'' Accessible at
https://www.fda.gov/Food/FoodScienceResearch/RiskSafetyAssessment/default.htm and https://www.fda.gov/ScienceResearch/SpecialTopics/PeerReviewofScientificInformationandAssessments/ucm079120.htm
(2015).
7. Codex Alimentarius Commission, ``Principles and Guidelines for
the Establishment and Application of Microbiological Criteria
Related to Foods, CAC/GL 21-1997,'' 1997.
Dated: July 29, 2015.
Leslie Kux,
Associate Commissioner for Policy.
[FR Doc. 2015-18972 Filed 7-31-15; 8:45 am]
BILLING CODE 4164-01-P