Salmonella Not Ready-To-Eat Breaded Stuffed Chicken Products, 35033-35053 [2024-09393]
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Notices
Federal Register
Vol. 89, No. 85
Wednesday, May 1, 2024
This section of the FEDERAL REGISTER
contains documents other than rules or
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DEPARTMENT OF AGRICULTURE
Food Safety and Inspection Service
[Docket No. FSIS–2022–0013]
Salmonella Not Ready-To-Eat Breaded
Stuffed Chicken Products
Food Safety and Inspection
Service (FSIS), U.S. Department of
Agriculture (USDA).
ACTION: Final determination and
response to comments.
AGENCY:
FSIS is announcing its final
determination that not ready-to-eat
(NRTE) breaded stuffed chicken
products that contain Salmonella at
levels of 1 Colony Forming Unit per
gram (hereinafter, ‘‘1 CFU/g’’) or higher
are adulterated within the meaning of
the Poultry Products Inspection Act
(PPIA). FSIS is also announcing that it
intends to carry out verification
procedures, including sampling and
testing of the raw incoming chicken
components used to produce NRTE
breaded stuffed chicken products prior
to stuffing and breading.
DATES: This final determination will be
effective on May 1, 2025.
FOR FURTHER INFORMATION CONTACT:
Rachel Edelstein, Assistant
Administrator, Office of Policy and
Program Development, FSIS, USDA;
Telephone: (202) 205–0495.
SUPPLEMENTARY INFORMATION:
SUMMARY:
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Table of Contents
I. Background
II. Summary of Comments and Reponses
A. FSIS’ Legal Authority and Adulteration
Under the PPIA
B. Need for the Proposed Action
C. Definition of NRTE Breaded Stuffed
Chicken Products
D. Food Emergency Response Network
Survey
E. Outbreak Data
F. Salmonella Framework
G. Wait for Additional Information
H. Infectious Dose
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I. Virulence
J. Consumer Behavior
K. Laboratory Methods
L. Verification Sampling
M. Implementation Date
N. Cost Benefit Analysis
O. Additional Action
P. Alternatives to the Proposed Action
III. Implementation
A. Hazard Analysis and Critical Control
Point (HACCP) Reassessment
B. Implementation and Status of
Laboratory Methods
C. Sampled Lot
D. State Programs and Foreign Government
Programs
IV. Anticipated Costs and Benefits of This
Final Determination
V. USDA Non-Discrimination Statement
VI. Additional Public Notification
I. Background
On April 28, 2023, FSIS published a
proposed determination (88 FR 26249)
in which the Agency tentatively
declared that NRTE breaded stuffed
chicken products contaminated with
Salmonella at levels at or above 1 CFU/
g present a significant public health
concern. This proposed determination
emphasized risks that are particular to
these products, given their unique
characteristics. Specifically, data from
outbreak investigations, as well as
consumer behavior research studies,
show that common consumer
preparation practices associated with
these products may not destroy
Salmonella that may be present in the
product. Information from consumer
behavior research discussed in the
proposed determination (88 FR 26257)
also shows that common consumer
handling of NRTE breaded stuffed
chicken products may contribute to
cross-contamination. Further, the
proposed determination noted that
Salmonella has been associated with
severe and debilitating human illness
and available data suggest that the
Salmonella infectious dose can be
relatively low (88 FR 26261–26264). In
addition, outbreak data cited in the
proposed determination indicates that
NRTE breaded stuffed chicken products
have been consistently and
disproportionately associated with
Salmonella illness outbreaks over the
years (88 FR 26252–26259). Based on
the information discussed in the
proposed determination, FSIS
tentatively concluded that previous
efforts to mitigate the public health
concerns associated with these
products, which primarily focused on
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product labeling and outreach to inform
consumers that these products are raw
and how to prepare them safely, have
failed to adequately ensure that
consumer preparation of NRTE breaded
stuffed chicken products will result in
a product that does not contain
Salmonella at levels sufficient to cause
a high risk of human illness when
consumed. As such, FSIS tentatively
determined that the appropriate
response to protect public health is to
ensure that NRTE breaded stuffed
chicken products contaminated with
Salmonella at levels more likely to
cause human illness are excluded from
commerce (88 FR 26264).
FSIS specifically proposed to declare
that NRTE breaded stuffed chicken
products contaminated with Salmonella
at levels of 1 CFU/g or above as
adulterated under the PPIA. As
discussed in the proposal, FSIS
tentatively concluded that when present
in NRTE breaded stuffed chicken
products, Salmonella at 1 CFU/g or
higher meets the definition of an ‘‘added
substance’’ that ‘‘may render’’ them
injurious to health pursuant to 21 U.S.C.
453(g)(1) (88 FR 26260–26261). The
proposal further explained that FSIS
also believes that NRTE breaded stuffed
chicken products that contain
Salmonella at 1 CFU/g or higher meets
the more stringent ‘‘ordinarily
injurious’’ standard under 21 U.S.C.
453(g)(1) (88 FR 26261). Moreover, the
proposed determination tentatively
concluded that such products are
adulterated under 21 U.S.C. 453(g)(3)
because their elevated risk of illness
makes them ‘‘. . . unsound,
unhealthful, unwholesome, or otherwise
unfit for human food’’ (88 FR 26261).
After reviewing comments on the
proposed determination, FSIS is
finalizing the determination as
proposed, with one exception. Based on
public comments, FSIS has decided to
modify the verification sampling
location originally proposed to provide
greater flexibility and reduce costs to
industry. Specifically, instead of
collecting samples after the
establishment has completed all
processes needed to prepare the chicken
component to be stuffed and breaded to
produce a final NRTE breaded stuffed
chicken product, as was proposed, FSIS
will collect verification samples on the
raw incoming chicken components.
FSIS is also clarifying that
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establishments may incorporate raw
chicken components sampled by FSIS
into finished NRTE breaded stuffed
chicken products so long as such
products remain under the
establishments’ control pending test
results. FSIS is also clarifying, as
requested by commenters, that it does
not intend to begin FSIS sampling and
verification testing discussed in this
determination until May 1, 2025. In
addition, FSIS has considered the
economic effects of this determination
and has updated the final Cost Benefit
Analysis (CBA) in response to public
comments.
II. Summary of Comments and
Reponses
FSIS received 3,386 comments on the
proposed determination from
individuals, a laboratory services
business, an association representing
the entire food industry, research
institutes associated with the meat and
frozen foods industries, a society of
meat industry professionals, an animal
welfare advocacy organization, trade
associations representing the poultry
products industry, members of the meat
and poultry industry, and consumer
advocacy organizations.
A summary of issues raised by
commenters and the Agency’s responses
follows.
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A. FSIS’ Legal Authority and
Adulteration Under the PPIA
Comment: A trade association
representing the poultry industry
asserted that FSIS does not have
Congressional authorization to take the
actions discussed in the proposed
determination. Poultry products trade
associations, members of the poultry
products industry, a society of meat
industry professionals, and an institute
representing the interests of the meat
industry asserted that FSIS’
determination that Salmonella is an
added substance in NRTE breaded
stuffed chicken pursuant to 21 U.S.C.
453(g)(1) is inconsistent with legal
precedent, which holds that a substance
is only ‘‘added’’ if it is artificially
introduced by a person.1 A poultry
products trade association and an
institute representing the meat industry
asserted that FSIS does not have a legal
basis to declare that any level of
Salmonella ordinarily renders NRTE
breaded stuffed chicken injurious to
health under 21 U.S.C. 453(g)(1), given
the courts have previously determined
1 United States v. Anderson Seafoods, Inc., 622
F.2d 157 (5th Cir. 1980). United States v. Coca Cola,
241 U.S. 265 (1915).
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that consumers prepare raw chicken in
a manner that destroys Salmonella.2
On the other hand, consumer
advocacy organizations agreed with the
Agency’s tentative conclusion that
Salmonella is an added substance in
NRTE breaded stuffed chicken and is
thus subject to the ‘‘may render
injurious’’ standard. The commenters
also agreed with FSIS’ tentative
conclusion that NRTE breaded stuffed
chicken products that contain
Salmonella at 1 CFU/g or higher meet
the more stringent ‘‘ordinarily
injurious’’ standard, because ordinary
consumer handling and preparation
preserves levels in the end product that
result in illness.
Response: The PPIA provides FSIS
with the authority to regulate poultry to
ensure that adulterated products do not
enter commerce.3 Furthermore,
Congress, at 21 U.S.C. 453(g)(1),
declared two standards for determining
whether a product is adulterated. First,
if a substance is an ‘‘added substance’’
the product is adulterated if the
substance may render the product
injurious to health. Second, if the
substance is not added, the product is
adulterated if the quantity of such
substance in or on the product
ordinarily renders it injurious to health.
As discussed in the proposed
determination (88 FR 26250–26251),
this is not the first time that FSIS has
exercised its authority to designate a
foodborne pathogen as an adulterant in
a raw product. In September 1994, FSIS
stated that it considered raw ground
beef contaminated with Escherichia coli
O157:H7 (E. coli O157:H7) to be
adulterated within the meaning of an
identical adulteration provision in the
Federal Meat Inspection Act (FMIA; 21
U.S.C. 601(m)), and that the Agency was
prepared to use the enforcement
provisions of that statute to exclude
adulterated product from commerce. At
the same time, FSIS indicated that it
would begin to sample raw ground beef
at federally regulated establishments
2 Texas Food Industry Association v. Espy, 870 F.
Supp. 143, 149 (W.D. Tex. 1994). American Public
Health Association v. Butz, 511 F.2d 331, 334 (D.C.
Cir. 1974). Supreme Beef Processors, Inc. v. USDA,
275 F.3d 432, 438–39 (5th Cir. 2001). See also, e.g.,
Starr Surplus Lines Ins. Co. v. Mountaire Farms
Inc., 920 F.3d 111, 117 (1st Cir. 2019). (‘‘[T]he mere
fact of the FSIS-orchestrated recall does not give
rise to the plausible inference that the type of
Salmonella found . . . could not be eliminated by
proper cooking.’’); Craten v. Foster Poultry Farms
Inc., 305 F. Supp.3d 1051, 1058 (D. Ariz. 2018)
(observing that existing case law ‘‘suggests
Salmonella is not an adulterant’’ and rejecting
several state law tort claims because Salmonella ‘‘is
killed through proper cooking, which is how raw
chicken products are intended to be used’’).
3 21 U.S.C. 451 and 452.
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and in commerce.4 Shortly after the
1994 decision, a group of supermarket
and meat industry organizations filed
suit in the U.S. District Court for the
Western District of Texas to reverse
FSIS’ determination, arguing the Agency
exceeded its statutory authority by
declaring E. coli O157:H7 to be an
adulterant under the FMIA. The court
ruled in favor of FSIS.5 The Agency
then updated its policy in 1999,
declaring E. coli O157:H7 to also be an
adulterant of intact beef cuts that are to
be further processed into nonintact raw
products before being distributed for
consumption. In 2011, FSIS declared
that six additional Shiga ToxinProducing Escherichia coli (STEC)
serogroups (O26, O45, O103, O111,
O121, and O145) are adulterants of raw
non-intact beef products and raw intact
beef components intended to be used in
these products.6
FSIS is now taking similar action,
declaring Salmonella to be an adulterant
in NRTE breaded stuffed chicken when
present at levels at or above 1 CFU/g.
FSIS based this decision on the best
available science and data using similar
criteria as in its 1994, 1999, and 2011
STEC policymaking. This
determination, like the STEC
determinations, is within the scope of
the Agency’s statutory authority.
The adulteration definition in 21
U.S.C. 453(g)(1) includes two standards
for determining whether a product is
adulterated. Under 21 U.S.C. 453(g)(1),
if a substance is an ‘‘added substance’’
the product is adulterated if the
substance ‘‘may render’’ the product
injurious to health. If the substance is
not added, the product is adulterated ‘‘if
the quantity of such substance in or on’’
the product ‘‘ordinarily’’ renders it
injurious to health.
FSIS has determined that when
present in NRTE breaded stuffed
chicken products, Salmonella at 1 CFU
per gram or higher meets the definition
of an ‘‘added substance’’ that ‘‘may
render’’ these products injurious to
health. As discussed in the proposed
determination (88 FR 26260–26261) and
herein, (processing can add Salmonella
to previously uncontaminated NRTE
breaded stuffed chicken components
and may increase the occurrence of
Salmonella throughout the finished
product overall. As such, some portion
of Salmonella present in the NRTE
4 Michael R. Taylor, FSIS Administrator.
September 29, 1994. ‘‘Change and Opportunity to
Improve the Safety of the Food Supply.’’ Speech to
American Meat Institute Annual Convention, San
Francisco, CA.
5 See Texas Food Industry Association v. Espy,
870 F. Supp. 143 (1994).
6 76 FR 58157, Sept. 20, 2011.
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breaded stuffed chicken products has
been introduced by humans.
While no court has addressed whether
Salmonella in processed poultry
products is an ‘‘added substance’’ under
the PPIA, FSIS’ determination that
Salmonella at 1 CFU/g is an added
substance in NRTE breaded stuffed
chicken is consistent with the holding
in United States v. Anderson Seafoods
(622 F.2d 157 (1980)). The issue directly
before the court in U.S. v. Anderson
Seafoods was the meaning of the term
‘‘added substance’’ as used in an
adulteration provision of the Federal
Food, Drug, and Cosmetic Act (FFDCA),
which, in relevant parts, is identical to
the ‘‘added substance’’ provision in the
PPIA.7 8 U.S. v. Anderson Seafoods
involved hazardous levels of mercury in
swordfish. Specifically, the issue before
the court was whether all mercury in
the fish should be considered an ‘‘added
substance’’ under the adulteration
provisions of the FFDCA and thus
subject to the ‘‘may render injurious
standard’’ when some mercury in
swordfish occurs naturally and some is
the result of man-made pollution. After
considering the legislative history and
relevant case law, the court found that
the term ‘‘added,’’ as used in the
FFDCA, means ‘‘artificially introduced,
or attributable in some degree to the acts
of man.’’ 9 The court also held that the
‘‘may render it injurious to health’’
standard applies to the food, not to the
added substance and, therefore, ‘‘where
some portion of a toxin present in a food
has been introduced by [humans], the
entirety of that substance present in the
food will be treated as an added
substance.’’ 10
As discussed in the proposed
determination (88 FR 26260–26261) and
herein, processing can add Salmonella
to previously uncontaminated NRTE
7 The definition in the FFDCA provides that ‘‘A
food shall be deemed to be adulterated (a)(1) if it
bears or contains any poisonous or deleterious
substance which may render it injurious to health;
but in case the substance is not an added substance
such food shall not be considered adulterated under
this clause if the quantity of such substance in such
food does not ordinarily render it injurious to
health’’ (21 U.S.C. s 342(a)(1)).
8 While the PPIA defines the circumstances in
which a poultry product may be adulterated, FSIS
has referred to the FFDCA as a substantially similar
statute to further elucidate the meaning that terms
are given in a similar provision. See, e.g., FSIS final
response to petition #12–02, Petition to Require
Labeling of All Ritually Slaughtered Meat and
Poultry (Jan 1, 2012) p. 2. Available at: https://
www.fsis.usda.gov/federal-register/petitions/
petition-require-labeling-all-ritually-slaughteredmeat-and-poultry.
9 United States v. Anderson Seafoods, Inc622
F.2d 157, 160 (citing United States v. Coca Cola,
241 U.S. 265 (1915)).
10 United States v. Anderson Seafoods, Inc622
F.2d 157, 161.
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breaded stuffed chicken components
and may increase the occurrence of
Salmonella throughout the finished
product overall. As such, some portion
of Salmonella present in the NRTE
breaded stuffed chicken products has
been introduced by man and, in
accordance with the holding in
Anderson Seafoods, all Salmonella in
this product should be treated as an
‘‘added substance’’ and may be
regulated under the PPIA’s ‘‘may render
injurious’’ standard.
In addition, FSIS’ believes that
Salmonella at 1 CFU/g in NRTE breaded
stuffed chicken meets the more stringent
‘‘ordinarily injurious to health’’
standard for substances that are not
added, satisfying the definition of
‘‘adulterated’’ under 21 U.S.C. 453(g)(1).
This determination also does not
conflict with legal precedent. The
Agency recognizes that, historically,
most foodborne pathogens, including
Salmonella, have not been considered
adulterants of raw and other NRTE meat
and poultry based on the assumption
that ordinary cooking is generally
sufficient to destroy the pathogens.
However, NRTE breaded stuffed
chicken products are NRTE multiingredient, further processed products
that often contain multiple raw poultry
source materials and are heat treated in
a manner that typically imparts an RTE
appearance. As noted in the proposed
determination (88 FR 26249), consumer
research, together with information
gathered during outbreak investigations,
clearly show that, because of these
unique product characteristics, which
make these products particularly risky,
consumers often do not prepare these
products properly, even when the
products display adequate cooking
instructions and statements on the label.
FSIS is not aware of any court that has
analyzed the status of Salmonella as an
adulterant in NRTE breaded stuffed
chicken products, giving due weight to
the products’ unique characteristics,
consumer behaviors, public health risks
associated with these products, or the
most recent science and data concerning
Salmonella in NRTE breaded stuffed
chicken products.
Comment: A group of consumer
advocacy organizations agreed with
FSIS’ position and reasoning in the
proposed determination that Salmonella
is an added substance pursuant to 21
U.S.C. 453(g)(1) in NRTE breaded
stuffed chicken products. However,
poultry products trade associations,
members of the poultry products
industry, a society of meat industry
professionals, and an institute
representing the interests of the meat
industry disagreed with FSIS’
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determination, arguing that Salmonella
exists naturally in chicken, and
provided studies that they assert show
that Salmonella exists naturally in
muscle tissue.11 12 13 14 These
commenters also stated that FSIS did
not adequately support its view that
cross-contamination during further
processing is responsible for the
presence of Salmonella in chicken
components used to create NRTE
breaded stuffed chicken products.
Response: In the proposed
determination, FSIS specifically
evaluated whether Salmonella should
be considered an added substance in
NRTE breaded stuffed chicken (88 FR
26260–26261). Although FSIS agrees
with the commenters that Salmonella
naturally exists in certain parts of
poultry before processing, such as the
skin, livers, feather follicles, and bones,
the Agency noted that Salmonella is not
ordinarily found in the muscle tissue of
healthy birds. NRTE breaded stuffed
chicken products contain raw,
comminuted chicken breast meat, trim,
or whole chicken breast meat (i.e.,
further processed chicken parts or
comminuted chicken). FSIS sampling
data has shown that further processed
chicken parts (legs, breasts, and wings)
and comminuted chicken have a higher
occurrence of Salmonella positive
results compared to carcasses.15 16
As FSIS noted in the proposed
determination (88 FR 26260), these
sampling data indicate that, during
processing, Salmonella that is regularly
present in certain parts of the bird is
added to the interior of edible poultry
muscle tissue, where Salmonella is not
ordinarily found. The proposed
11 Rimet, C.S., Maurer, J.J., Pickler, L., Stabler, L.,
Johnson, K.K., Berghaus, R.D., . . . & Franc¸a, M.
(2019). Salmonella harborage sites in infected
poultry that may contribute to contamination of
ground meat. Frontiers in Sustainable Food
Systems, 3, 2.
12 Angela Cook et al., Campylobacter, Salmonella,
Listeria monocytogenes, Verotoxigenic Escherichia
coli, and Escherichia coli Prevalence, Enumeration,
and Subtypes on Retail Chicken Breasts with and
without Skin, 75(1) J. Food Protection 34–40 (Jan.
2012).
13 Husnu Sahan Guran et al., Salmonella
prevalence associated with chicken parts with and
without skin from retail establishments in Atlanta
metropolitan area, Georgia, 73(B) Food Control 462–
67 (Mar. 2017).
14 A. Pointon et al., A Baseline Survey of the
Microbiological Quality of Chicken Portions and
Carcasses at Retail in Two Australian States (2005
to 2006), 71(6) J. Food Protection 1123–34 (Jun.
2008).
15 Sampling Results for FSIS-Regulated Products.
Available at: https://www.fsis.usda.gov/sciencedata/sampling-program/sampling-results-fsisregulated-products.
16 USDA FSIS Annual Sampling Summary Report
2022. Available at: https://www.fsis.usda.gov/sites/
default/files/media_file/documents/FY2022Sampling-Summary-Report.pdf.
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determination cited several instances of
how such cross-contamination could
occur (88 FR 62260). For one, when
poultry is cut, Salmonella in the skin
and feather follicles can be exposed and
spread during processing to previously
uncontaminated product. 17 18 19
Additionally, many NRTE breaded
stuffed chicken products are made with
comminuted chicken. Because of the
nature of comminution, Salmonella
contamination in chicken skin and bone
can spread throughout an entire batch or
lot through cross-contamination. FSIS
sampling data show that ground and
other raw comminuted chicken
products that were produced using
either bone-in or skin-on source
materials were more likely to be
contaminated with Salmonella than
those fabricated from deboned, skinless
source materials.20 In addition,
Salmonella-negative raw poultry parts
and comminuted poultry may become
cross-contaminated by contact with
Salmonella-contaminated equipment or
when they are commingled with
Salmonella-positive products, such as
when they are collected in combo bins
for further processing.21 22 Salmonellacontaminated equipment used to
incorporate the stuffed ingredients into
the chicken component of NRTE
breaded stuffed chicken products may
also contribute to Salmonella
contamination in these products. For
these reasons, FSIS considers
Salmonella an added substance in
NRTE breaded and stuffed chicken
products. It is important to note that the
determination that Salmonella is an
added substance in NRTE breaded and
stuffed chicken products is based on the
circumstances under which these
particular products are fabricated and
17 Kim J–W and Slavik MF. 1996.
Cetylpyridinium Chloride (CPC) treatment on
poultry skin to reduce attached Salmonella. J. Food
Prot. 59: 322–326.
18 Wu D, Alali WQ, Harrison MA, and Hofacre CL.
2014. Prevalence of Salmonella in neck skin and
bone of chickens. J Food Prot. 77(7): 1193–1197.
19 FSIS Guidance for Controlling Salmonella in
Raw Poultry (June 2021) pp. 59–60. Available at:
https://www.fsis.usda.gov/guidelines/2021-0005.
20 FSIS Guidance for Controlling Salmonella in
Raw Poultry (June 2021) pp. 65–66, Table 4 FSIS
exploratory sampling test results, raw comminuted
chicken by source material composition (6/1/13–6/
30/15, 2,688 samples. Available at: https://
www.fsis.usda.gov/guidelines/2021-0005.
21 FSIS Guidance for Controlling Salmonella in
Raw Poultry (June 2021) pp. 59. Available at:
https://www.fsis.usda.gov/guidelines/2021-0005.
22 Codex Guideline for the Control of
Campylobacter and Salmonella in Chicken Meat at
https://www.fao.org/fao-who-codexalimentarius/shproxy/en/
?lnk=1&url=https%253A%252F%252Fworkspace
.fao.org%252Fsites%252Fcodex
%252FStandards%252FCXG%2B782011%252FCXG_078e.pdf.
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processed and that FSIS has not made
a determination about whether
Salmonella is an added substance in
any other raw poultry products. FSIS
will address the status of Salmonella in
other raw poultry products in a
subsequent rulemaking proceeding after
considering the comments received in
that proceeding.
Industry commenters provided a
study in which researchers tested
poultry muscle tissue for the presence of
Salmonella.23 However, the study was
not sensitive enough to draw the
conclusion that Salmonella at 1 CFU/g
or higher is ordinarily present in such
tissue. In the study, 1-day old chicks
were deliberately inoculated with
highly pathogenic Salmonella before
development of healthy gut microflora.
Thus, the initial load of Salmonella in
the tested birds was not necessarily
representative of the pathogen levels
ordinarily present in farm-raised
poultry.24 Moreover, the study had a
very small sample size and, in the end,
only one out of five muscle tissue
samples collected from 42-day old birds
were positive for the Salmonella
serotypes tested.25 Thus, this study does
not serve as demonstrable evidence that
Salmonella is ordinarily present in the
muscle tissue of farm-raised poultry. In
fact, the study concluded that the high
prevalence of Salmonella in the skin of
infected poultry significantly
contributes to contamination of ground
chicken and turkey and suggested that
the exclusion of skin as a component of
ground poultry may be the best option
for reducing Salmonella contamination
in ground poultry products. This
finding, therefore, supports FSIS’
position that, amongst other things,
Salmonella contaminated chicken skin
substantively contributes to the spread
of the pathogen in NRTE breaded
stuffed chicken products, including to
23 Rimet, C.S., Maurer, J.J., Pickler, L., Stabler, L.,
Johnson, K.K., Berghaus, R.D., . . . & Franc¸a, M.
(2019). Salmonella harborage sites in infected
poultry that may contribute to contamination of
ground meat. Frontiers in Sustainable Food
Systems, 3, 2.
24 FSIS notes that—for farm raised birds—there
are many options to eliminate or reduce the
Salmonella contamination, including pre-harvest
food safety control measures. Elimination efforts
can include rearing and management practices, pre
and probiotic use, antimicrobial therapy, and/or
vaccination of birds. See, e.g., Foley, S.L., Nayak,
R., Hanning, I.B., Johnson, T.J., Han, J., & Ricke, S.C.
(2011). Population dynamics of Salmonella enterica
serotypes in commercial egg and poultry
production. Applied and environmental
microbiology, 77(13), 4273–4279.
25 Forty-two days is the approximate age when
broilers are slaughtered. FSIS also notes that in the
four weeks prior, only one sample in the study
tested positive for either serotype and only after
enrichment.
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components that do not ordinarily
contain Salmonella.
Industry also cites three other papers
they say show that Salmonella
prevalence is the same in skin-on and
skin-off chicken.26 27 28 The commenters
assert these studies prove that
Salmonella naturally occurs in poultry
muscle tissue. However, these papers
show variable results for Salmonella
detection in skin-off versus skin-on
chicken.22–24 Two studies, Cook 2012
and Pointon 2008, showed similar rates
of Salmonella between the skin-on and
skin-off parts using a rinse sampling
method. In contrast, the third study,
Guran 2017, showed Salmonella
presence in skin-on chicken parts was
significantly higher than in the skin-off
parts with 44.7% vs 12.3% positive for
chicken breast and 40.9% vs 22.8%
positive for chicken thighs when
samples were mixed by stomaching.23
The variable results from the studies
discussed could be due to methodology
differences. Researchers have noted that
rinse sampling methods may not recover
Salmonella that are firmly attached to
the skin or trapped within skin folds
and feather follicles, while vigorous
mixing using a stomacher may release
attached Salmonella therefore
increasing detection.29 30 A study by Wu
2014 supports this, showing rinsed skin
samples recovered significantly less
Salmonella than skin that was
stomached (2.3 vs. 20.7%).31
At an industry level, poultry skin is
a known source of Salmonella
contamination due to bacteria being
trapped in the skin folds and feather
follicles.32 These areas may not be
accessible until they are disturbed
26 Angela Cook et al., Campylobacter, Salmonella,
Listeria monocytogenes, Verotoxigenic Escherichia
coli, and Escherichia coli Prevalence, Enumeration,
and Subtypes on Retail Chicken Breasts with and
without Skin, 75(1) J. Food Protection 34–40 (Jan.
2012).
27 Husnu Sahan Guran et al., Salmonella
prevalence associated with chicken parts with and
without skin from retail establishments in Atlanta
metropolitan area, Georgia, 73(B) Food Control 462–
67 (Mar. 2017).
28 A. Pointon et al., A Baseline Survey of the
Microbiological Quality of Chicken Portions and
Carcasses at Retail in Two Australian States (2005
to 2006), 71(6) J. Food Protection 1123–34 (Jun.
2008).
29 Wu D, Alali WQ, Harrison MA, and Hofacre CL.
2014. Prevalence of Salmonella in neck skin and
bone of chickens. J Food Prot. 77(7): 1193–1197.
30 Husnu Sahan Guran et al., Salmonella
prevalence associated with chicken parts with and
without skin from retail establishments in Atlanta
metropolitan area, Georgia, 73(B) Food Control 462–
67 (Mar. 2017).
31 Wu D, Alali WQ, Harrison MA, and Hofacre CL.
2014. Prevalence of Salmonella in neck skin and
bone of chickens. J Food Prot. 77(7): 1193–1197.
32 FSIS Guidance for Controlling Salmonella in
Raw Poultry (June 2021). Available at: https://
www.fsis.usda.gov/guidelines/2021-0005.
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during cutting or grinding. When this
processing exposes and releases the
pathogen, it can spread, resulting in
higher contamination levels in the
product. FSIS sampling data clearly
indicates Salmonella poultry rates rise
as poultry is further processed, from
chicken carcasses at 4.14% to legs,
breasts, wings at 7.62% to comminuted
at 24.2%.33 This is a pattern FSIS has
observed yearly and based on more than
25,000 samples analyzed in FY2022
alone.34
Comment: A few commenters,
including trade associations
representing the poultry products and
frozen foods industries, asserted that the
evidence cited in the proposed
determination does not indicate that
NRTE breaded stuffed chicken products
contaminated with Salmonella are
ordinarily injurious to health. First, they
argued that the outbreak data cited does
not indicate that the products have
harmed a substantial amount of people.
They also argued that outbreak
investigations do not indicate that
consumers ordinarily prepare NRTE
breaded stuffed chicken in a manner
that renders them unsafe to eat.
Response: NRTE breaded stuffed
chicken products pose a substantive risk
to public health. The data available
show that NRTE breaded stuffed
chicken products are inherently risky,
given their unique characteristics, and
have a disparate impact on public
health. Specifically, as noted above and
in the proposed determination (88 FR
26252), an analysis of all chicken
associated outbreaks identified in the
Centers for Disease Control and
Prevention’s (CDC) National Outbreak
Reporting System (NORS) 35 or in the
scientific literature from 1998–2020
found that, during this time, NRTE
breaded stuffed chicken products
accounted for less than 0.15 percent of
the total domestic chicken supply yet
represented approximately five percent
of all chicken-associated Salmonella
outbreaks in the United States.
Specifically, although NRTE breaded
stuffed chicken products make up a very
small percentage of the total domestic
33 USDA FSIS Annual Sampling Summary Report
2022. Available at: https://www.fsis.usda.gov/sites/
default/files/media_file/documents/FY2022Sampling-Summary-Report.pdf
34 Moreover, national prevalence data from
chicken parts baseline sampling indicate that skinon parts were more likely to be positive for
Salmonella than parts without skin. See The
Nationwide Microbiological Baseline Data
Collection Program: Raw Chicken Parts Survey
(2012), available at: https://www.fsis.usda.gov/sites/
default/files/media_file/2020-07/Baseline_Data_
Raw_Chicken_Parts.pdf.
35 CDC National Outbreak Reporting System
available at: https://www.cdc.gov/nors/.
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supply of chicken, they have been
associated with 14 Salmonella
outbreaks between 1998 and 2021,
resulting in 195 reported illnesses and
41 reported hospitalizations (88 FR
26258–26259). The actual number of
cases is likely higher than the number
of reported cases.36
As discussed in the proposed
determination (88 FR 26263),
Salmonella can cause bloody diarrhea,
fever, abdominal cramps, nausea, and
vomiting. In some instances, Salmonella
enters the blood and makes its way to
other areas of the body including, but
not limited to, the heart, lung, bone,
joints, and the central nervous system.37
This can result in severe illness
requiring hospitalizations and even
death, especially in vulnerable
populations, such as very young,
elderly, and immunocompromised
individuals. Even when Salmonella is
no longer detectable in the body, prior
Salmonella illness has also been
associated with an increased risk in
colon cancer and can cause debilitating,
long-lasting conditions including
inflammatory bowel disease, irritable
bowel syndrome and reactive arthritis.38
Comment: A few poultry products
trade associations stated that the
proposed determination did not explain
or support why Salmonella, particularly
at 1 CFU/g, would render a NRTE
breaded stuffed chicken product
adulterated under 21 U.S.C. 453(g)(3).
Response: Under 21 U.S.C. 601(m)(3)
of the FMIA and 21 U.S.C. 453(g)(3) of
the PPIA, a meat or poultry product is
adulterated ‘‘if it consists in whole or in
part of any filthy, putrid, or
decomposed substance or is for any
other reason unsound, unhealthful,
unwholesome, or otherwise unfit for
human food.’’ Historically, FSIS has
interpreted the phrase ‘‘is for any other
reason unsound, unhealthful,
unwholesome, or otherwise unfit for
human food’’ as providing a separate
basis for adulteration than consists of
‘‘any filthy, putrid, or decomposed
substance.’’ Thus, meat or poultry
products that FSIS has determined are
‘‘otherwise unfit for human food’’
within the meaning of 21 U.S.C.
601(m)(3) and 21 U.S.C. 453(g)(3) do not
36 Scallan, et al. 2011; Mead, P.S., et al., Food
related illnesses and deaths in the United States.
Emerging Infect Dis, Oct1999. 5(5) p. 607–625.
37 Batz, M.B., et al., Long-Term consequences of
foodborne illness. Infect Dis Clin North Am, Sept
2013. 28(3) p. 599–661; Hohmann, E.L.,
Nontyphoidal Salmonellosis, Clin Infect Dis, Sept
2001. 32 p. 263–269; Heymann, D. Salmonellosis.
Control of Communicable Disease Manual, 2021.
38 Mughini-Gras, L. et al. Increased colon cancer
risk after severe Salmonella infection. PLoS ONE,
2018. 13(1): p. 1–19. https://doi.org/10.1371/
journal.pone.0189721.
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35037
also need to consist ‘‘in whole or in part
of any filthy, putrid, or decomposed
substance.’’ For example, when raw
meat or poultry products are associated
with an illness outbreak but contain
pathogens that are not considered
adulterants in raw products, FSIS has
found products linked to the illness
outbreak to be adulterated under 21
U.S.C. 601(m)(3) or 21 U.S.C. 453(g)(3)
because they are ‘‘unsound, unhealthful,
unwholesome or otherwise unfit for
human food’’ (77 FR 72689). FSIS has
also determined that certain materials
from cattle as well as the carcasses of
non-ambulatory disabled cattle are
adulterated because they present a
sufficient risk of exposing humans to
the bovine spongiform encephalopathy
agent such as to render them ‘‘unfit for
human food’’ under 21 U.S.C. 601(m)(3)
(69 FR 1862).
As discussed in the proposal (88 FR
26261), FSIS evaluated the available
information on Salmonella associated
with human illnesses, the Salmonella
infectious dose, the severity of human
illnesses caused by Salmonella, and
consumer preparation practices
associated with NRTE breaded stuffed
chicken product as documented in
outbreak investigations associated with
these products and consumer behavior
research studies. Based on this
evaluation, FSIS concluded that NRTE
breaded stuffed chicken products
contaminated with Salmonella at levels
of 1 CFU/g present a sufficiently serious
risk of causing Salmonella illness. Thus,
as discussed in the proposed rule, FSIS
has determined that such products are
adulterated as defined in 21 U.S.C.
453(g)(3) because their elevated risk of
illness makes them ‘‘unhealthful,
unwholesome, or otherwise unfit for
human food’’ (82 FR 26261).
B. Need for the Proposed Action
Comment: Many commenters,
including an animal welfare
organization, two consumer advocacy
groups, and several individuals, stated
FSIS’ proposed action is necessary to
assure NRTE breaded stuffed chicken
products are safe to eat. However, a few
poultry products trade associations and
an institute representing the meat
industry asserted that the proposed
determination is not necessary to
protect public health. These
commenters specifically asserted the
rate of salmonellosis associated with all
chicken products has decreased over the
past ten years. They also stated that
public health efforts by the industry and
FSIS have already made NRTE breaded
stuffed chicken products safe to eat.
Response: As discussed throughout
the proposed determination (88 FR
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26249), FSIS is specifically targeting
Salmonella in NRTE breaded stuffed
chicken products because their unique
characteristics make them particularly
risky, and they pose a disparate impact
on consumers’ health. There have been
14 recorded outbreaks associated with
the consumption of NRTE breaded
stuffed chicken products since 1998,
with the latest outbreak occurring as
recently as 2021. Salmonella outbreaks
have been disproportionately associated
with NRTE breaded stuffed chicken
products. Specifically, an analysis of all
chicken associated outbreaks identified
in the CDC’s NORS 39 and in the
scientific literature from 1998–2020
found that, during this time, NRTE
breaded stuffed chicken products
accounted for less than 0.15 percent of
the total domestic chicken supply yet
represented approximately five percent
of all chicken-associated outbreaks in
the United States (88 FR 26252).
Outbreaks associated with these
products have continued to occur
regularly despite updated labeling
instructions, outreach, and other
industry and Agency efforts to make the
products safer and ensure consumers
are aware of how to prepare them (88 FR
26259–26260). Moreover, data from
outbreak investigations and consumer
research discussed in the proposed
determination show that many
consumers continue to cook NRTE
breaded stuffed chicken products in a
manner that does not adequately destroy
Salmonella in these products (88 FR
26252–26260).
C. Definition of NRTE Breaded Stuffed
Chicken Products
Comment: Trade associations and
institutes representing the meat and
poultry foods industries asked FSIS to
clarify what products are subject to this
final determination and noted that it
should not apply to frozen NRTE
products that are not breaded or stuffed,
or that appear raw. A trade association
representing the poultry products
industry specifically asserted that the
determination should not include NRTE
breaded stuffed chicken products
intended for use by hotel, restaurant, or
institutional consumers.
Response: As discussed in the
proposed determination (88 FR 26252),
FSIS specifically defines NRTE breaded
stuffed chicken products as those NRTE
products that are both breaded and
stuffed, contain raw chicken
components (e.g., comminuted chicken
breast meat, trim, or whole chicken
breast meat), and where the finished
39 CDC National Outbreak Reporting System
available at: https://www.cdc.gov/nors/.
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product is heat-treated only to set the
batter or breading on the exterior of the
product, which may impart an RTE
appearance. Only products that
specifically meet this definition are
subject to the 1 CFU/g or higher
adulteration standard discussed in this
final determination. As discussed in the
proposed determination (88 FR 26266—
26267) and herein, FSIS will also
conduct verification sampling in
federally regulated establishments that
produce such products. Thus, this final
determination does not apply to RTE
products (e.g., fully cooked RTE chicken
cordon bleu). In addition, NRTE
products that are stuffed and breaded,
but are not ‘‘par-fried,’’ ‘‘pre-browned,’’
or otherwise heat treated to only set the
batter or breading, are not subject to this
final determination.40 This final
determination also does not apply to
NRTE stuffed products that are not
breaded, such as turducken or whole
stuffed chickens—nor to NRTE breaded
products that are not stuffed, such as
chicken nuggets. Under this
determination, NRTE breaded stuffed
chicken that contain Salmonella at or
above 1 CFU/g will be considered
adulterated even if intended for hotel,
restaurant, or institutional use because,
regardless of intended use, NRTE
breaded stuffed chicken products have
characteristics that can make effective
cooking of these products more
challenging, i.e., they may appear fully
cooked, are typically cooked from a
frozen state, and are thicker in diameter
and have a different composition than
other par-fried breaded products (82 FR
26252).
D. Food Emergency Response Network
Survey
Comment: A few poultry product
trade associations asserted that they did
not have the time or information
necessary to respond to the Food
Emergency Response Network (FERN)
Survey.41 Specifically, these
commenters argued that the Agency
published the FERN Survey during the
proposed determination’s comment
period, leaving inadequate time for
analysis and comment. They also
asserted that FSIS never explained why
this survey was relevant or how it
supported the proposed determination.
A few poultry product trade
associations and an institute
40 For example, if a meat counter at a retail store
were to stuff a chicken breast with cheese and roll
it in breadcrumbs, but not heat treat the product to
set the breading, the product would not be subject
to this determination.
41 FSIS, Survey of Not Ready-to-Eat Breaded and
Stuffed Chicken Products for Salmonella, Docket ID
No FSIS–2022–0013–0015 (June 2023).
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representing the meat industry also
raised some specific issues with the
FERN Survey. First, they noted that it
did not utilize the laboratory or
sampling methods discussed in the
proposed determination. Second, these
commenters stated that the samples
were not weighted to reflect relative
production volume, they were not
geographically dispersed, and that no
statistical analysis was performed on the
base results. The commenters also stated
that the study lacked statistical power,
given minimal samples were collected
over a short period of time.
Response: FSIS disagrees with the
assertion that the Agency never
explained why the FERN Survey was
relevant or how it was used to inform
the proposed determination. The
proposed determination discussed the
FERN Survey report in detail (88 FR
26265–26266). FSIS gave the public
adequate time and information to
respond to the FERN Survey report.
After release of the FERN Survey report,
FSIS extended the proposed
determination’s comment period to
August 11, 2023, to give the public more
time to review the materials and
formulate comments. Furthermore, the
survey’s methodology and results—as
well as FSIS’ analysis—were discussed
in detail in the proposed determination
(88 FR 26265–26266), which published
105 days prior to the close of the
comment period.42 43
In regard to the specific issues with
the FERN Survey raised by commenters,
the FERN Survey report made clear that
the data were derived from convenient
sampling of eligible products available
to the participating laboratories and that
FSIS made no claims about the
statistical significance of any differences
observed 44 or about how this survey
supports FSIS enumeration
methodology. Indeed, FSIS explained
that the survey was intended to collect
information on the positive rate of
Salmonella in NRTE breaded stuffed
chicken purchased at retail and
differences in testing strategies, which
were intended to help inform the FSIS
verification sampling plan resulting
from this determination. The FERN
Survey results indicate that the current
FSIS testing methods are acceptable for
these products because the FERN labs
42 FSIS Constituent Update—June 23, 2023.
Available at: https://www.fsis.usda.gov/newsevents/news-press-releases/constituent-updatejune-23-2023.
43 FSIS, Survey of Not Ready-to-Eat Breaded and
Stuffed Chicken Products for Salmonella, Docket ID
No FSIS–2022–0013–0015 (June 2023).
44 Survey of Not Ready-to-Eat Breaded and
Stuffed Chicken Products for Salmonella
(usda.gov).
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tested samples using the validated
methods. The survey was also
conducted to help inform the FSIS
sampling and verification testing
resulting from this determination.
As explained in the proposed
determination (88 FR 26265), the FERN
Survey gathered data at retail to provide
information about the Salmonellapositive rate of NRTE breaded stuffed
chicken products. In the proposal, FSIS
noted that when using FSIS methods
and a larger test portion, the survey
found that the 27 percent positive rate
for Salmonella in NRTE breaded stuffed
chicken products detected in retail
samples is comparable to the 29 percent
positive rate detected in FSIS sampling
of comminuted chicken.45 The Agency
also noted that these rates are higher
than the Salmonella-positive rates for
other raw chicken products, which
suggests that NRTE breaded stuffed
chicken products and comminuted
chicken have a higher risk than other
raw chicken. However, as noted in the
proposal, consumer preparation
practices are more likely to mitigate the
risk associated with comminuted or
ground chicken because, unlike NRTE
breaded stuffed chicken products,
ground chicken clearly appears raw and
is not typically cooked from a frozen
state (88 FR 26265).
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E. Outbreak Data
Comment: A poultry products trade
association argued that FSIS placed too
much emphasis on the duration of
outbreaks associated with NRTE
breaded stuffed chicken products to
support its decision, noting that the
length of an outbreak is not necessarily
related to its severity. It also asserted
that statements gathered during
outbreak investigations are anecdotal
and, thus, not adequate to support FSIS’
conclusion that consumers do not safely
prepare NRTE breaded stuffed chicken
products. Moreover, the commenter
noted that most of the outbreak
investigations FSIS discussed were
associated with outdated product
labeling and used antiquated
investigational methods.
Response: The outbreak data—
together with the other evidence
discussed in the proposed
determination (88 FR 26249)—supports
the conclusion that NRTE breaded
stuffed chicken products are
disproportionately associated with
Salmonella illnesses compared to other
raw poultry products and that, despite
45 USDA
Food Safety and Inspection Service
Annual Sampling Report Fiscal Year 2021: https://
www.fsis.usda.gov/sites/default/files/media_file/
2022-02/FY2021-Sampling-Summary-Report.pdf.
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industry and Agency efforts, consumers
continue to prepare such products in a
manner that does render them safe to
eat. The outbreak investigation findings
discussed in the proposed
determination (88 FR 26252–26259)
were not based on anecdotal evidence or
antiquated investigational methods. The
findings were based on exposure and
food-history information gathered and
analyzed by local, state, and Federal
health partners, including the CDC.
These investigations used accepted
investigational practices at the time of
the outbreak.
Although FSIS mentioned the length
of such outbreaks in the proposed
determination, the Agency judges the
severity of such outbreaks on their
overall public health impact, not the
length of the outbreaks. As noted in the
proposed determination, despite making
up a very small percentage of the total
domestic supply of chicken (88 FR
26252), NRTE breaded stuffed chicken
products were associated with 14
Salmonella outbreaks between 1998 and
2021, resulting in 195 reported illnesses
and 41 hospitalizations (88 FR 26258–
26259).
F. Salmonella Framework
Comment: A poultry establishment
and a poultry products trade association
noted that FSIS has not finished its
Salmonella Framework, which
contemplates reviewing FSIS’
comprehensive approach to Salmonella
and that, considering this ongoing effort,
it is premature to set specific standards
for NRTE breaded stuffed chicken at this
time. The commenters stated that
pursuing a separate policy for NRTE
breaded stuffed chicken products risks
creating inconsistencies or redundant
policies.
Response: The Agency is confident it
can address the persistent Salmonella
outbreaks caused by NRTE breaded
stuffed chicken products, as stated in
this notice, and also propose to address
illness associated from Salmonella in
raw poultry generally in a future
proposed rule. This will not lead to
inconsistent or redundant policies. FSIS
develops food safety requirements based
on pathogens, consumption data, and
other food safety factors, which can vary
depending on the product.
For the reasons discussed in the
proposed determination, FSIS believes
that NRTE breaded stuffed chicken
products pose different exposure risks
to consumers than other types of raw
poultry products and are more likely to
result in Salmonella outbreaks than
other products; therefore, FSIS has
determined to hold NRTE breaded
stuffed chicken products to a more
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35039
stringent Salmonella adulteration
standard than for other raw poultry
products. FSIS is not delaying its efforts
concerning this product. Consistent
with this final determination, as the
Agency develops the proposed
Salmonella Framework,46 it will
consider measures that will be most
effective in addressing the public health
risks associated with other raw poultry
products.
G. Wait for Additional Information
Comment: Poultry products trade
associations, a poultry products
establishment, and a society of meat
industry professionals noted that FSIS
needs to gather more information about
Salmonella in NRTE breaded stuffed
chicken products before finalizing this
determination. Specifically, they stated
that FSIS needs to gather more data on
the frequency that products currently
exceed the 1 CFU/g threshold, whether
enforcing the 1 CFU/g standard would
be feasible, and what impact the
proposed determination would have on
public health. The commenters further
stated that FSIS needs more insight into
which serotypes are most prevalent in
these products, as well as better
information regarding infectious dose
and host susceptibility. The commenters
said that FSIS should build a
comprehensive microbiological baseline
before moving forward and use that
information to conduct a risk
assessment.
Response: FSIS has sufficient
information to finalize this
determination. As discussed in the
proposed determination (88 FR 26249),
available data from outbreak
investigations and consumer behavior
research show that NRTE breaded
stuffed chicken products contaminated
with Salmonella pose a significant
public health risk. As noted in the
proposal, these data show that common
consumer preparation practices
associated with NRTE breaded stuffed
chicken products may not destroy
organisms that may be present in the
product and may also contribute to
cross contamination (88 FR 26264). The
proposal also described available data
that show Salmonella has been
associated with severe and debilitating
human illnesses and that the
Salmonella infectious dose is relatively
low (88 FR 26264). Thus, because
Salmonella can survive ordinary
handling and cooking practices for
NRTE breaded stuffed chicken products,
46 FSIS, Proposed Regulatory Framework to
Reduce Salmonella Illnesses Attributable to
Poultry, available https://www.fsis.usda.gov/
inspection/inspection-programs/inspection-poultryproducts/reducing-salmonella-poultry/proposed.
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FSIS has determined that the
appropriate response to protect public
health is to ensure that products
contaminated with Salmonella at levels
more likely to cause human illness are
excluded from commerce. As explained
in the proposed determination,
assuming a minimum of 0.5 log (68%)
Salmonella reduction likely achieved
with even partial cooking, considering a
level of Salmonella at 1 CFU/g
(assuming a typical 70–88 gram chicken
component portion size) to adulterate
product should significantly mitigate
the risk of illness associated with NRTE
breaded stuffed chicken products (88 FR
26263). Additionally, as discussed in
the proposed determination, all
Salmonella serotypes have the potential
to cause illness, and the disparity in
serotypes may be related to factors other
than serotype-specific differences in
human virulence. Thus, given the
unique public health risk associated
with NRTE breaded stuffed chicken
products, FSIS has determined that any
Salmonella at levels of 1 CFU/g or
higher is an adulterant in these
products. FSIS will continue to evaluate
and, if necessary, refine its policies and
standards related to the oversight of
NRTE breaded stuffed chicken products
as advances in science and technology
related to pathogen levels, serotypes,
and infectious dose become available.
FSIS typically performs baseline
studies to estimate the national
prevalence of bacteria of public health
concern in situations where a large
number of establishments produce a
product and uniform verification
sampling is performed. Here, a baseline
study isn’t warranted for NRTE bread
stuffed chicken products because there
are currently only six federally
regulated establishments producing
such products. Due to the public health
risk posed by the product type, which
is supported by recurring Salmonella
illness outbreaks, the Agency decided to
move forward with the proposed
determination.
determination.47 Moreover, commenters
asserted that this study (hereinafter,
‘‘Teunis 2010’’) contained insufficient
and outdated data. The commenters,
therefore, provided an updated study by
the same author for FSIS’ consideration
(hereinafter, ‘‘Teunis 2022’’).48 The
commenters also suggested that
Salmonella serotypes used in Teunis
2010 were not representative of the
serotypes that caused NRTE breaded
stuffed chicken product outbreaks or are
found in raw chicken.
Response: The Agency considered
Teunis 2022 along with the evidence
already cited on infectious dose in the
proposed determination. However, upon
review, FSIS does not conclude that the
updated dose-response model in Teunis
2022, in consideration with the other
evidence previously cited, warrants a
change in the proposed adulterant
threshold of 1 CFU/g of Salmonella in
NRTE breaded stuffed chicken products.
FSIS’ 1 CFU/g determination was not
based on a single study. FSIS cited
seven Salmonella outbreak papers in the
proposed determination where the
infectious dose was found to be very
low, i.e., 10 or fewer Salmonella
organisms. FSIS cited an additional nine
papers noted in the proposed
determination that found an infectious
dose between 11 and 420 organisms
resulted in human illness. Finally, FSIS
cited an additional dose-response paper
written by the World Health
Organization (WHO) that supports
Salmonella illness can result, on
average, from small doses.49
FSIS also did not rely on outdated
data. Teunis 2022 specifically states the
outbreak data analyzed in the study
‘‘. . . are the same that were used in a
previous analysis,’’ i.e., Teunis 2010. In
fact, most of the data from the human
challenge feeding trials 50 used in
Teunis 2022 were published in 1951,
about 70 years before the publication of
Teunis 2022. These data are
scientifically debated. In these trials,
healthy volunteers were fed Salmonella,
but none of the strains used in Teunis
2022 had been isolated from a person
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H. Infectious Dose
Comment: Poultry products trade
associations, a member of the poultry
products industry, and a meat industry
research institute asserted there were
several deficiencies in the infectious
dose data FSIS relied on to support its
proposed determination that NRTE
breaded stuffed chicken with 1 CFU/g
Salmonella are adulterated. Specifically,
the commenters stated that FSIS relied
on a single dose-response study to
support the 1 CFU/g proposed
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47 Teunis P.F. et al., Dose-response modeling of
Salmonella using outbreak data, 144(2) Int. J. Food
Microbial 243–9 (2010).
48 Peter F.M. Teunis, Dose response for
Salmonella Typhimurium and Enteritidis and other
nontyphoid enteric salmonellae, 41 Epidemics
(2022).
49 World Health Organization, Risk assessment of
Salmonella in eggs and broiler chickens, March 25,
2002. Available at: https://www.who.int/
publications/i/item/9291562293.
50 McCullough, N.B., Wesley Eisele, C., 1951a.
Experimental human salmonellosis. I. Pathogenicity
of strains of Salmonella meleagridis and Salmonella
anatum obtained from spray-dried whole egg. J.
Infect. Dis. 88, 278–289; McCullough, N.B.,
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with salmonellosis.51 Some of the
volunteers had been vaccinated for
Salmonella typhoid and paratyphoid.
Blaser and Newman summarize the
issues as follows, ‘‘the ability to
generalize about what happens in nature
from the experimental data concerning
the infective dose of salmonellae is
limited by several factors, including
choice of strains, repeated testing of the
same subjects, failure to assess minimal
infective doses, and use of too few
volunteers at the lower dosages.’’ FSIS
also disagrees with the commenters’
assertion that a transposition of an
outbreak dose from 344 CFU to 3.44
CFU in Teunis 2010 was ‘‘significant’’
and, thus, evidence that FSIS’ doseresponse analysis was based on an
outdated model. Teunis 2022
specifically states that ‘‘It was checked
that correction of the dose changed the
estimates of Salmonella Enteritidis
infectivity and pathogenicity only by a
minute amount, putting to rest concerns
that quantitative risk assessments might
have been caused to use an incorrect
model.’’ 52
The commenters also suggested that
Salmonella serotypes used in Teunis
2010 are not representative of the
serotypes that caused NRTE breaded
stuffed chicken product outbreaks or are
found in raw chicken. However, as
stated in the proposed determination,
all known NRTE breaded stuffed
chicken product outbreaks have been
Typhimurium, Heidelberg, I 4,[5],12:i:-,
and Enteritidis. Teunis 2010 and Teunis
2022 used 48 outbreaks to estimate the
Salmonella dose-response for all
serotypes. Eighty-three percent of those
outbreaks represent serotypes that have
been associated with NRTE breaded
stuffed chicken product outbreaks.
Lastly, as mentioned, the proposed
determination cited an additional doseresponse model, which was developed
by the WHO Food and Agriculture
Organization of the United Nations for
risk assessments for Salmonella in eggs
and broiler chickens.53 Also using
outbreaks, the model estimated a 13
percent chance of becoming ill if
ingesting 100 organisms. Even at the
level of 1 organism ingested, there was
still a non-zero chance of illness
(0.25%).
51 Blaser, M.J. and L.S. Newman, A Review of
Human Salmonellosis .1. Infective Dose. Reviews of
Infectious Diseases, 1982. 4(6): p. 1096–1106.
52 Peter F.M. Teunis, Dose response for
Salmonella Typhimurium and Enteritidis and other
nontyphoid enteric salmonellae, 41 Epidemics
(2022).
53 World Health Organization, Risk assessment of
Salmonella in eggs and broiler chickens, March 25,
2002. Available at: https://www.who.int/
publications/i/item/9291562293.
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Comment: Industry members, poultry
products trade associations, and a meat
industry research institute said FSIS
should establish a new adulteration
threshold equal to or higher than 10
CFU/g for NRTE breaded stuffed
chicken products. These commenters
noted that the FERN Survey and FSIS
data on NRTE breaded stuffed chicken
products show that more than a quarter
of all Salmonella positives were
Salmonella Kentucky, which they
claimed would not result in illness at 1
CFU/g.54 A poultry products trade
association also suggested FSIS based its
adulteration threshold on the infectious
dose for Salmonella Enteritidis, given it
was the serotype most commonly
associated with NRTE breaded stuffed
chicken outbreaks documented in the
proposed determination. Specifically,
the trade association stated that FSIS
should base its threshold on the median
dose of Salmonella Enteritidis that is
predicted to have a 50% probability of
causing illness, which was reported as
3,360 CFU. The comment asserted that
assuming that the average chicken
component of an NRTE breaded stuffed
chicken product is 70–88 grams as
noted in the proposal, this provides a
range of 38–48 CFU/g in NRTE breaded
stuffed chicken products.
Response: FSIS is finalizing the 1
CFU/g threshold as described in the
proposed determination because
outbreaks associated with products have
continued to occur regularly despite
updated labeling instructions, outreach,
and other industry and Agency efforts to
make the products safer. FSIS is not
establishing a higher adulteration
threshold of 10 CFU/g or greater based
on the dose at which 50% of individuals
exposed to 3,360 CFU of Salmonella
Enteritidis are predicted to become ill.
Use of such a metric where half (50%)
of individuals exposed could become ill
is not acceptable for a public health
regulatory program aimed at reducing
the risk posed by NRTE breaded stuffed
chicken products, which are habitually
undercooked by consumers. Salmonella
Enteritidis is not the only serotype of
concern in NRTE breaded stuffed
chicken product, nor it is representative
of the infectious dose of all Salmonella
serotypes. For example, Teunis 2022
states Infantis is predicted to have an
InfD50 of 0.7 CFU and InfD01 0.01 CFU.
Infantis is also predicted to have an
54 Laboratory Quality Assurance, Response, and
Coordination Staff (LQARCS) Office of Public
Health Science Food Safety and Inspection Service
U.S. Department of Agriculture. Survey of Not
Ready-to-Eat Breaded and Stuffed Chicken Products
for Salmonella. June 2023.
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IllD50 of 1 CFU and an IllD01 of 0.07
CFU. All four measures of infection and
illness would be below the proposed 1
CFU/g adulteration threshold. Using the
IllD01, Teunis 2022 supports the limit of
1 CFU/g for Enteritidis, Typhimurium,
and Infantis.
FSIS is not only concerned about
Salmonella Enteritidis and Infantis, but
numerous serotypes that have been
shown to be in NRTE breaded stuffed
chicken product. As discussed below,
FSIS determined numerous serotypes
were of concern based on three data
sources: (1) verification sampling of raw
comminuted chicken (a major
component of NRTE breaded stuffed
chicken), (2) outbreak associated
investigated sampling of NRTE breaded
stuffed chicken products, and (3) the
recent FERN survey of NRTE breaded
stuffed chicken at retail.
First, using FSIS raw poultry
sampling verification datasets for
comminuted chicken from 2015 to
CYQ3 2021,55 FSIS serotyped 2,921
Salmonella positives and 58 unique
serotypes. FSIS found the following five
most frequent serotypes in the following
rank order from most to least: Infantis,
Enteritidis, Kentucky, Typhimurium,
and Schwarzengrund. Since NRTE
breaded stuffed chicken products can be
made by grinding intact chicken, with
trim and chicken skin, these
comminuted verification data suggest
these serotypes are found in NRTE
breaded stuffed chicken products. The
second data source was a 2015, FSIS
investigative sampling of NRTE breaded
stuffed chicken comminuted source
components, finished products, and the
processing environment from two NRTE
establishments associated with an
outbreak.56 Among the 1,433 samples,
518 were positive for Salmonella, a 36%
positive rate. FSIS found the following
serotypes in the following rank order
from most to least: Kentucky,
Typhimurium, Infantis, Enteritidis,
Heidelberg, Schwarzengrund, I
4,[5],12:i:-, Montevideo, Mbandaka, and
Muenchen indicating virulent
Salmonella serotypes can be directly
found in NRTE breaded stuffed chicken
products. Lastly, in the FERN Survey,
NRTE breaded stuffed chicken products
were purchased at retail from July 1,
2022, to September 30, 2022. In total, 58
of the 487 samples, 12%, were positive
for Salmonella. Fifty-three were
serotyped finding Infantis, Enteritidis,
55 https://www.fsis.usda.gov/news-events/
publications/raw-poultry-sampling.
56 https://www.fsis.usda.gov/news-events/
publications/raw-poultry-sampling.
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Kentucky, and Typhimurium, in that
order of frequency.
As FSIS acknowledged in the
proposed determination, not all
Salmonella serotypes (e.g., Salmonella
Kentucky), are equally likely to cause
illness (88 FR 26262). However, all
Salmonella serotypes, including
Salmonella Kentucky, have the ability
to invade, replicate, and survive in
human host cells, resulting in
potentially fatal disease,57 and the
disparity among serotypes may be
related to factors other than serotypespecific differences in human
virulence.58 With Salmonella, higher
virulence is associated with enhanced
ability to survive and grow in the gut or
to attach to and invade human cells,
which is driven by changes to several
mechanisms, including mobile genetic
elements and resident genes as well as
variations in gene sequence and
expression. In an August 2018 report,
the National Advisory Committee on
Microbiological Criteria for Foods
(NACMCF) was unable to find evidence
in the literature for any determinant that
correlated with high virulence in human
foodborne disease.59 NACMCF noted
that a few Salmonella serotypes are
consistently associated with the greatest
incidence of human disease. However,
this disparity among serotypes may be
related to survival in animal hosts or
during food harvesting and processing
rather than serotype-specific differences
in human virulence.
Comment: A meat industry research
institute and industry member asserted
that current support for the 1 CFU/g
standard is based, in part, on data that
include products whose characteristics
are not the same as raw chicken.
According to the commenters, FSIS
cited studies/data associated with
cheese, chocolate, and dressings, which
are all RTE products of high fat content,
and have known Salmonella protective
characteristics during digestion. They
noted that high fat content protects
Salmonella against gastric acidity
resulting in a reduction of doseresponse curve with a low infectious
57 Shu-Kee Eng, Priyia Pusparajah, NurulSyakima
Ab Mutalib, Hooi-Leng Ser, Kok-Gan Chan & LearnHan Lee (2015) Salmonella: A review on
pathogenesis, epidemiology and antibiotic
resistance, Frontiers in Life Science, 8:3,
58 FSIS decision to declare all Salmonella at
certain levels as an adulterant was also based on a
review of the current state of laboratory technology
(88 FR 26262).
59 NACMCF (2019). Response to Questions Posed
by the Food Safety and Inspection Service
Regarding Salmonella Control Strategies in Poultry.
Journal of Food Protection 82(4): 645–668.
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dose.60 61 62 63 They argued that raw
chicken, unlike these other products,
provides increased heat lethality, is
expected to be heated, and is lower in
fat and not emulsified.
Response: FSIS does not agree with
the assertion that the dose-response
models, including Teunis 2010, Teunis
2022, and the WHO Risk assessment of
Salmonella in eggs and broiler chickens,
are not applicable to chicken-specific
outcomes. The commenters indicated
that many of the outbreaks used in the
dose-response models reported low
doses for high-fat products (some
reported in the range of 101). Looking at
the outbreaks used in the Salmonella
Enteritidis dose-response model,64 there
are many outbreaks that are presumably
high-fat but are also high dose. For
example, (food vehicle and dose (CFU))
Hollandaise 4.48 × 104, Macaroni salad
4.40 × 104, Scallop/cream 1.00 × 106,
Yam/soup 1.94 × 106, Bavarois
(Bavarian ice-cream) 1.01 × 105, Ice
cream 3.84 × 106, Tiramisu 1.29 × 108,
Cake 6.06 × 105, Mayonnaise 5.57 × 104.
These outbreak doses range from about
10,000 to 100,000,000 organisms.
Further, the commenter suggested that
the chicken matrix is low-fat and the
only ingredient of concern. NRTE
breaded stuffed chicken products can be
made from comminuted (ground)
chicken where high-fat chicken skin
may be combined and comminuted with
skinless, boneless chicken.
Additionally, NRTE breaded stuffed
chicken products include high-fat
ingredients, such as cheese, cream,
butter, and ham, that could act to
encourage pathogen survival.
FSIS agrees that very few of the
outbreaks used in any of the doseresponse models mentioned in the
public comments or the proposed
determination are specifically
associated with an outbreak where the
contaminated ingredient was
determined to be chicken. However,
60 Naschimento, et.al., (2012) Inactivation of
Salmonella during cocoa roasting and chocolate
conching. International Journal of Food
Microbiology 159 (3):225. 718–727.
61 Krapf, Tamara, and Corinne GantenbeinDemarchi. ‘‘Thermal inactivation of Salmonella
spp. during conching.’’ LWT-Food Science and
Technology 43, no. 4 (2010): 720–723.
62 Podolak, Richard, Elena Enache, Warren Stone,
Darryl G. Black, and Philip H. Elliott. ‘‘Sources and
risk factors for contamination, survival, persistence,
and heat resistance of Salmonella in low-moisture
foods.’’ Journal of food protection 73, no. 10 (2010):
1919–1936.
63 D’aoust, J.Y. ‘‘Salmonella and the chocolate
industry. A review.’’ Journal of Food Protection 40,
no. 10 (1977).
64 Peter F.M. Teunis, Dose response for
Salmonella Typhimurium and Enteritidis and other
nontyphoid enteric salmonellae, 41 Epidemics
(2022).
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there are several outbreaks used in the
dose-response models that are based on
animal products. These include beef,
chicken, egg, prawn, scallop, and
octopus. The commenters did not
provide an explanation for how the lack
of chicken outbreaks would impact the
dose-response except to imply it would
not be representative. However, doseresponse models describe pathogens
and are rarely, if ever, specific to the
transmission pathway.
I. Virulence
Comment: A poultry industry
commenter stated that FSIS needs to
gather more information on Salmonella
virulence.
Response: As discussed in the
proposed determination (88 FR 26262),
the basis for Salmonella virulence is not
fully understood. Many virulence
factors have been identified that
contribute to Salmonella pathogenicity.
The interactions of these factors and the
resulting strain virulence and
pathogenicity has not been completely
elucidated, but single genes and
pathogenicity islands have been
identified as key virulence traits.
However, there is currently no agreedupon definition of virulence genes
presence/absence profile that can
reliably predict severity of disease.65
FSIS, as discussed in the proposed
determination (88 FR 26262), is working
to better understand Salmonella
characteristics, including virulence, and
actively engages in and encourages
research in this area. As science and
laboratory technologies advance, FSIS
will continue to use the most innovative
and sensitive methods available to
protect public health.
J. Consumer Behavior
Comment: Poultry products trade
associations and a meat industry
research institute argued that consumers
prepare raw chicken in a manner that
destroys Salmonella and, thus,
Salmonella cannot be considered an
adulterant in products that include raw
poultry components. One poultry
products trade association also
specifically asserted that FSIS cannot
take the action discussed in the
proposed determination because it has
not proved that consumers must cook
NRTE breaded stuffed chicken products
to a temperature higher than other raw
poultry products in order to effectively
kill Salmonella. A poultry products
65 NACMCF (2022). Response to questions Posed
by FSIS: Enhancing Salmonella Control in Poultry
Products. Available at: https://www.fsis.usda.gov/
sites/default/files/media_file/documents/NACMCF_
Salmonella-Poultry_Response_for_Committee_
Review.pdf.
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trade association also asserted that the
2020 consumer study 66 and the 2022
CDC Appliance Report 67 cited in the
proposed determination do not prove
that consumers mishandle or use the
incorrect appliances to prepare NRTE
breaded stuffed chicken products. The
commenter also noted that FSIS’
analysis of consumer behavior
pertaining to food thermometer use
relied on an outdated paper explicitly
focused on microwavable products from
1998–2006.68
Response: FSIS disagrees. As FSIS
noted in the proposed determination (88
FR 26252), there are special
considerations to take into account with
these particular products that are
relevant to consumer cooking practices.
For one, unlike most raw poultry
products, NRTE breaded stuffed chicken
products often appear fully cooked and,
thus, some consumers may only reheat
the product for aesthetic or palatability
purposes rather than subject it to
cooking sufficient to kill pathogenic
bacteria. Second, consumers typically
cook NRTE breaded stuffed chicken
from a frozen state, which increases the
risk that the products will not reach an
internal temperature needed to destroy
Salmonella organisms that may be in
the product. Third, NRTE breaded
stuffed chicken products have a thicker
diameter and a different composition
than most other raw chicken products
that are not stuffed, including other parfried breaded products, which can make
effective cooking of NRTE breaded
stuffed chicken more challenging. In
addition, it may be difficult for a
consumer to determine an accurate
internal temperature of these products
because they contain multiple
ingredients, such as cheese and
vegetables, that may cook at different
rates. FSIS has recommended in the past
that consumers check the temperature at
multiple locations throughout the
product using a food thermometer, but
this is not always practical or accurate.
As discussed in the proposed
determination (88 FR 26252–26259),
66 S.C. Cates, et al., Food Safety Consumer
Research Project: Meal Preparation Experiment on
Raw Stuffed Chicken Breasts, RTI Project No.
0215472, ES–1–2 (Sept. 23, 2020).
67 Marshall, K.E., Canning, M., Ablan, M.,
Crawford T.N., Robyn, M. Appliances Used by
Consumers to Prepare Frozen Stuffed Chicken
Products-United States, May–July 2022. Morb
Mortal Wkly Rep Dec 2,2022; 71(48);1511–1516.
Available at: https://dx.doi.org/10.15585/
mmwr.mm7148a2.
68 Smith, K.E., Medus, C., Meyer, S.D., Boxrud,
J.D., Leano, F., Hedburg, C., Elfering, K., Braymen,
C., Bender, J.B., Danila, R.N. 2008. Outbreaks of
Salmonellosis in Minnesota (1998 through 2006)
Associated with Frozen, Microwaveable, Breaded
Stuffed Chicken Products. Journal of Food
Protection. 71(10): 2153–2160.
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outbreak investigations indicate that,
despite industry and Agency efforts,
consumers’ cooking practices continue
to be insufficient to destroy Salmonella
in NRTE breaded stuffed chicken
products and, as such, they continue to
have a disparate impact on public
health. Despite industry updates to
labeling and Agency outreach on the
safe preparation of NRTE breaded
stuffed chicken products, outbreak
investigations consistently indicate that
case patients erroneously believed these
products were precooked, did not
ordinarily use food thermometers to
check the internal temperature of the
product, and used a microwave or other
unsuitable appliance to cook the
products. Moreover, many case patients
became ill even when they used an oven
to prepare the product.
Further, FSIS disagrees with
commenters’ assertions that the
consumer research cited in the proposed
determination was flawed or did not
indicate that a significant percentage of
consumers customarily mishandle
NRTE breaded stuffed chicken products
despite reading the manufacturer’s
labeling and instructions. As
commenters noted, the proposed
determination cited a 2008 report
published in the Journal of Food
Protection. FSIS appropriately cited this
report to describe four separate
salmonellosis outbreaks associated with
NRTE breaded stuffed chicken that
occurred between 1998–2006, related
investigative findings, and the
subsequent actions taken in response.69
The report indicated that most
consumers sickened in a 1998 outbreak
reported using a microwave to prepare
the product, and no consumers reported
using a food thermometer. In response,
the company responsible for the
outbreak updated the preparation
instructions on its product labeling.
Then, in 2005, the report indicated that
another outbreak occurred. Again, the
manufacturer responsible for the
outbreak updated its labeling
instructions. FSIS also issued a public
health alert to remind consumers that
frozen meat and poultry products must
be fully cooked before they are
consumed. According to the report,
following these additional
communications with consumers and
labeling changes by the manufacturers,
two additional outbreaks occurred in
the 2005–2006 timeframe. Again, most
69 Smith, K.E., Medus, C., Meyer, S.D., Boxrud,
J.D., Leano, F., Hedburg, C., Elfering, K., Braymen,
C., Bender, J.B., Danila, R.N. 2008. Outbreaks of
Salmonellosis in Minnesota (1998 through 2006)
Associated with Frozen, Microwaveable, Breaded
Stuffed Chicken Products. Journal of Food
Protection. 71(10): 2153–2160.
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of the case patients used a microwave
oven to cook the products and none of
the case patients took the internal
temperature of the product after cooking
it. FSIS, therefore, issued another public
health alert, emphasizing that
consumers must cook NRTE breaded
stuffed chicken products to 165 °F. FSIS
sent a letter to an establishment
involved in one of the outbreaks
recommending they enhance and
validate the cooking instructions to
ensure that they address the intended
use by the consumer.70 FSIS then posted
the letter online as guidance to all
industry and requested that all such
establishments update their labeling to
include a statement such as ‘‘Uncooked:
For Safety, Must be Cooked to an
Internal Temperature of 165 degrees F
as Measured by Use of a Thermometer.’’
As discussed in the proposed
determination, despite these efforts,
consumers continued to prepare NRTE
breaded stuffed chicken products in a
manner that did not adequately destroy
Salmonella, resulting in several more
outbreaks and subsequent unsuccessful
efforts to update labeling instructions
and educate the public on how to
properly cook such products (88 FR
26252–26259).
In addition to analyzing outbreak
data, FSIS discussed the results of two
consumer behavior studies that helped
inform its determination that a
significant percentage of consumers do
not customarily cook NRTE breaded
stuffed chicken products in a manner
that adequately destroys Salmonella. In
the 2020 Meal Preparation Experiment
cited in the proposed determination (88
FR 26257),71 FSIS contracted with RTI
International and North Carolina State
University to conduct five separate
iterations of a meal preparation study to
evaluate consumer food handling
behaviors in a test kitchen. The third
iteration of the study specifically
examined participants’ meal preparation
related to NRTE breaded stuffed chicken
products. Half of the participants were
assigned to a control group, whereas the
other half was assigned to a treatment
group. Amongst other things, the study
found that consumers may confuse
frozen NRTE breaded stuffed chicken
products with RTE products.
Specifically, the study concluded that
even though 99% of all participants
read the manufacturer’s instructions for
NRTE breaded stuffed chicken products,
nearly a quarter reported they were not
sure if the products were raw or fully
cooked, twenty-two percent reported
they were unaware that the product was
raw, and eleven percent of the
participants incorrectly believed the
product was fully cooked. The study
also found that a significant number of
participants did not use food
thermometers to check that the NRTE
breaded stuffed chicken product
reached a safe internal temperature of
165 °F, with some using other methods
to determine doneness such as time,
visual cues, and touch. Thirty-eight
percent of participants also self-reported
not using their food thermometer at
home to check that NRTE breaded
stuffed chicken products were properly
cooked. Moreover, the study observed
that a significant number of participants
did not adequately wash their hands
during meat preparation. The study
concluded that these issues were likely
attributable to participants preparing a
NRTE breaded stuffed chicken product
rather than raw, unfrozen poultry that is
not breaded and stuffed. This indicates
that the appearance of NRTE breaded
stuffed chicken products and the fact
that they are typically cooked from a
frozen state may contribute to
Salmonella cross-contamination in the
home.
The proposed determination also
discussed the results of a 2022 survey
that collected information from
thousands of participants from May 31–
July 6, 2022, to determine the
demographic characteristics of persons
who prepare NRTE breaded stuffed
chicken products and the appliances
they use to prepare them.72 Even though
NRTE breaded stuffed chicken product
labels typically instruct consumers to
cook the product in an oven and
specifically warns against the use of a
microwave, 54 percent of participants
reported that they prepared these
products using appliances other than, or
in addition to, ovens.73 Specifically, 30
percent reported preparing the products
using air fryers, 29 percent reported
using microwaves, approximately 14
percent reported using toaster ovens,
and approximately 4 percent reported
using another appliance. Economic and
other factors might affect certain groups’
70 Letter to industry about the safe handling
labeling of uncooked, breaded, boneless poultry
products (March 2006) at: https://www.fsis.
usda.gov/guidelines/2006-0007.
71 Final Report: Food Safety Consumer Research
Project: Meal Preparation Experiment on Raw
Stuffed Chicken Breasts (September 23, 2020) at:
https://www.fsis.usda.gov/sites/default/files/media_
file/2021-04/fscrp-yr3-nrte-final-report.pdf.
72 Marshall, K.E., Canning, M., Ablan, M.,
Crawford T.N., Robyn, M. Appliances Used by
Consumers to Prepare Frozen Stuffed Chicken
Products-United States, May–July 2022. Morb
Mortal Wkly Rep Dec 2,2022; 71(48);1511–1516.
Available at: https://www.cdc.gov/mmwr/volumes/
71/wr/mm7148a2.htm.
73 Participants in the study were allowed to
choose more than one cooking option.
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access to recommended cooking
appliances and, thereby, the customary
manner in which these groups cook
NRTE breaded stuffed chicken products.
FSIS also disagrees that, in order to
finalize the proposed determination, it
must show that consumers must cook
NRTE breaded stuffed chicken products
to a temperature higher than other raw
poultry products in order to effectively
kill Salmonella. As noted in the
proposed determination, the status of
NRTE breaded stuffed chicken products
contaminated with Salmonella must
depend on whether there is adequate
assurance that consumer handling of the
product will result in a product that
does not contain Salmonella at levels
sufficient to cause human illness when
consumed (64 FR 2803). The evidence
cited in the proposed determination,
including the consumer research cited
above, shows consumers routinely do
not fully cook NRTE breaded stuffed
chicken nor do they routinely use a food
thermometer to test the internal
temperature of the product and, thus,
has concluded that the appropriate
response to protect public health is to
ensure that products contaminated with
Salmonella at levels sufficient to cause
human illness (1 CFU/g) are excluded
from commerce.
K. Laboratory Methods
Comment: Poultry products trade
associations, a meat products research
institute, a member of the poultry
products industry, a trade group
representing the frozen foods industry,
and a society of meat industry
professionals raised some issues
regarding the laboratory methods FSIS
intends to implement. Generally, they
stated that Salmonella enumeration
testing technology is still under
development, that current methods are
limited, and that FSIS needs to ensure
that its methods are validated prior to
implementation of this determination.
Specifically, they noted that available
Salmonella enumeration methods are
not currently validated for NRTE
breaded stuffed chicken products or at
a detection level of 1 CFU/g. A poultry
products trade association and an
industry member also asserted that there
is a margin of variability inherent in the
available laboratory methods and asked
for clarity on how FSIS would account
for this. An industry member also asked
FSIS to use polymerase chain reaction
(PCR)-based limit of detection testing,
until quantification methods are
improved and validated.
Response: FSIS laboratories
performed a thorough verification of
validated methods by independent
organizations. FSIS’ current qPCR
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method is validated for 1 CFU/g in
NRTE breaded stuffed chicken.74 The
Most Probable Number (MPN) method is
another enumeration technique that
FSIS has adopted.75 FSIS intends to
routinely evaluate new methods of
Salmonella quantification, as they
become available, that provide both
accuracy and fitness for a highthroughput laboratory environment.
Comment: To expedite test results, a
poultry products trade association
requested that the Agency consider
conducting the quantitative assay
concurrently with the assay being
conducted to screen the sample for the
general presence of Salmonella, not
based on that assay. The commenters
also asked for clarity on if quantitative
and general detection results will be
obtained from the same homogenized
sample to avoid conflicting results that
could arise if using different analytical
sample portions due to factors such as
the nonhomogeneous distribution of
Salmonella.
Response: FSIS intends to use the
same homogenized sample for the
quantitative and detection screen
protocols. Enumeration results will be
reported on the same day. For samples
that are potential positives, an
additional 3 days may be necessary for
a confirmed positive or negative result.
These timeframes and methods may
change as FSIS incorporates new
laboratory technologies into its
sampling and verification testing.
Comment: A poultry products trade
group stated that Salmonella levels in
finished product are typically less than
1 CFU/g but that the levels in samples
may grow beyond the 1 CFU/g threshold
during transport of the sample to
Federal laboratories. The commenters
asked the Agency to account for this
phenomenon in its final determination,
given even a slight difference in results
may have a negative impact on industry.
Response: Current FSIS procedures
ensure the temperature of the
Salmonella samples to be 15 °C or less
upon receipt at the field service
laboratories.76 The laboratories will
discard samples that arrive at a
temperature above 15 °C.77 This upper
temperature limit is intended to prevent
74 BioMerieux GENE–UP QUANT Salmonella,
AOAC Performance Tested MethodsSM Certification
Number 082104 is the current validation.
75 See https://www.fsis.usda.gov/news-events/
publications/microbiology-laboratory-guidebook.
76 USDA FSIS MLG 1.01 FSIS Laboratory System
Introduction, Method Performance Expectations,
and Sample Handling for Microbiology, available at
https://www.fsis.usda.gov/sites/default/files/media_
file/2022-03/MLG_1.01.pdf.
77 FSIS Directive 10250.1, Salmonella and
Campylobacter Verification Program for Raw Meat
and Poultry Products.
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the outgrowth of competitors that could
affect pathogen recovery in the lab.
These limits also ensure that growth
during shipment does not occur. While
15 °C is the upper allowable limit,
samples received at the laboratory
typically do not approach that
temperature. USDA studies have shown
no significant difference in the levels of
Salmonella in ground beef samples if
kept at refrigerator temperatures for 24–
48 hours (Narang et al, 2005).
Comment: A commercial laboratory
suggested that FSIS consider using
third-party laboratories that are part of
the Accredited Laboratory Program
(ALP) when including laboratories that
will be assisting the Agency. Further, a
member of the poultry products
industry stated that FSIS should utilize
industry analytical data from ALP on
the levels of Salmonella to conduct their
verification, to assist small and very
small processors.
Response: Currently, FSIS labs
analyze all samples that FSIS inspectors
collect to verify that product is
wholesome and not adulterated. Also,
FSIS labs currently have the capacity to
conduct verification sampling and
testing of NRTE breaded stuffed chicken
products. Thus, at this time, FSIS
intends to collect all samples and use its
own labs for verification testing
conducted under this final
determination.
L. Verification Sampling
Comment: Poultry products trade
associations, industry members, and a
meat industry research institute asked
FSIS to consider sampling earlier in the
NRTE breaded stuffed chicken product
production process to give
establishments more flexibility to divert
failed product for other uses.
Specifically, commenters asked FSIS to
consider conducting sampling on the
raw incoming chicken components used
to produce NRTE breaded stuffed
chicken, prior to those materials being
comminuted and combined. They
indicated that, if FSIS finalized the
sampling location as discussed in the
proposed determination, establishments
would have less flexibility to divert
product exceeding the 1 CFU/g
adulteration threshold, given the
chicken components, once processed
and prepared for breading and stuffing,
have a short shelf life and a unique
formulation that can only be utilized to
produce NRTE breaded stuffed chicken
products. Thus, the commenters
asserted that sampling at the location
discussed in the proposed
determination would lead to substantial
food waste and lost product costs.
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Response: In the proposed
determination (88 FR 26249), FSIS
proposed to collect verification samples
after the establishment has completed
all processes needed to prepare the
chicken component to be stuffed and
breaded to produce final NRTE breaded
stuffed chicken products. However,
FSIS agrees with commenters that
sampling earlier in the production
process may provide some
establishments with additional
flexibility to divert sampled source
products for other uses, thereby
reducing food waste, lost product costs,
and establishment operations changes
due to the collection event. As such,
FSIS will collect verification samples
from incoming raw poultry source
materials at the establishment
producing the NRTE breaded stuffed
chicken prior to breading and stuffing at
an appropriate point in the
establishment’s process. In assessing the
suitability of the sampling location at
any individual establishment, FSIS will
take into account the establishments’
production process and the Agency’s
ability to collect the sample safely and
effectively. Any Salmonella detected in
NRTE breaded stuffed chicken source
materials will be enumerated and source
materials that exceed 1 CFU/g of
Salmonella must be diverted for other
uses.
Comment: A poultry products trade
association asked for clarity on whether
the Salmonella adulteration threshold
for NRTE breaded stuffed chicken
products applies only to the chicken
components tested by FSIS or to the
finished product itself. The commenter
also asked for clarity on whether
establishments may complete the
production of NRTE breaded stuffed
chicken products while awaiting
sampling results, so long as such
products remain under establishment
control and are not released into
commerce. Further, the commenter
asked FSIS to provide that
establishments may divert raw chicken
source material confirmed positive for
Salmonella at 1 CFU/g for uses other
than the production of NRTE breaded
stuffed chicken products.
Response: Under this determination,
all finished NRTE breaded stuffed
chicken products that are contaminated
with Salmonella at 1 CFU/g or greater
are adulterated within the meaning of
21 U.S.C. 453(g)(1) and 21 U.S.C.
453(g)(3). This adulteration standard
applies to finished NRTE breaded
stuffed chicken products, not the raw
incoming chicken components tested by
FSIS. Tested chicken components and
those components represented by the
sampled lot before incorporation into
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NRTE–BSC products would not be
considered adulterated for certain other
uses if confirmed positive for 1 CFU/g
or greater of Salmonella. Thus,
establishments may divert such raw
material components to another
appropriate application (e.g., breaded
nugget or fully cooked products).
Chicken components subject to
sampling and verification testing and
confirmed positive for 1 CFU/g or
greater of Salmonella would be
ineligible for use in NRTE breaded
stuffed chicken products under 9 CFR
417.2(c)(3).
In the proposed determination (88 FR
26266), FSIS stated that, pending test
results, establishments should not
incorporate sampled lots into finished
NRTE breaded stuffed chicken products.
However, in response to public
comments, FSIS is clarifying that this
statement was only meant to apply to
sampled lots incorporated into NRTE
breaded stuffed chicken products
released into commerce. Establishments
that produce NRTE breaded stuffed
chicken may, at their discretion,
incorporate sampled lots into finished
NRTE breaded stuffed chicken products,
so long as those finished products
remain under establishment control
awaiting acceptable test results.
Comment: A poultry products trade
association and a meat industry research
institute noted that, upon entering
commerce, NRTE breaded stuffed
chicken may be subject to additional
testing by state or local health
authorities, customers, consumer
advocacy organizations, or even FSIS
and other Federal partners. The
commenters asked for clarity on how
FSIS would interpret such downstream
testing and what public health actions it
would take if such testing showed that
finished NRTE breaded stuffed chicken
products in commerce contain
Salmonella at 1 CFU/g or greater.
Response: Under this determination,
all finished NRTE breaded stuffed
chicken products that are contaminated
with Salmonella at 1 CFU/g or greater
are adulterated within the meaning of
21 U.S.C. 453(g)(1) and 21 U.S.C.
453(g)(3). If FSIS receives test results
from a third party (e.g., a state health
department, advocacy organization, or
consumer), the Agency will address
those results in accordance with FSIS
Directive 10,000.1, Policy on Use of
Results for Non-FSIS Laboratories.
Assuming the test results are deemed
acceptable, FSIS may use the results to
inform Agency action, such as detaining
the product or initiating a recall.
Comment: To minimize product
storage costs, a poultry products trade
association asserted that FSIS should
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provide establishments with
enumeration results as soon as they are
available, without waiting for serotype
or WGS information.
Response: FSIS will transmit test
results to establishments as soon as
possible and will not withhold such
results while awaiting other
information. FSIS intends to use the
LIMS-Direct system and Biological
Information Transfer Email System
(BITES) messages to alert establishments
and Office of Field Operations
personnel prior to the confirmed
positive and WGS or serotyping steps of
the analysis.
Comment: Poultry products trade
associations, a poultry products
industry member, and a meat industry
research institute requested clarity on
how production lots would be defined
for purposes of FSIS’ verification and
sampling program.
Response: Establishments are
responsible for defining a production
lot. Establishments should ensure that
there is a scientifically supportable basis
for their lotting practices to ensure
microbiological independence. To
create independence between
production lots, establishments need to
consider the way in which the hazard is
likely to be introduced to the process,
such as from the addition of chicken
skin, and during handling and
processing of chicken parts, and
grinding of chicken trim that may be
used in the production of NRTE breaded
stuffed chicken products. When
applicable and available, FSIS and
establishment microbial sampling, as
well as the lotting of received source
materials must also be considered and
support the establishments product lot
definition. A production lot can be
defined by the establishment in several
ways. FSIS does not consider ‘‘clean-up
to clean-up’’ alone as a supportable
basis for distinguishing one portion of
raw chicken production from another
portion of production. Establishments
may decide to use a robust, statistically
based sampling program, one or more
processing interventions that have been
validated to limit or control Salmonella,
or other scientifically supportable
process to define the lot.78
M. Implementation Date
Comment: A meat industry research
institute stated that the Agency must
allow a reasonable timeframe to
implement the final determination. The
commenter noted that establishments
78 For additional information on lotting see the
FSIS Guideline for Holding and Controlling Meat,
Poultry, and Egg Products Pending FSIS Test
Results. Available at: https://www.fsis.usda.gov/
policy/fsis-guidelines.
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will need to adjust and put processes in
place to hold product during testing and
divert positive product. Moreover,
according to the commenter,
establishments may need to weigh the
costs of these processes to determine
whether continued production of these
types of products is viable. According to
the commenter, an effective date one
year from the publication of a final
determination would be reasonable.
Response: FSIS agrees that industry
will need a reasonable amount of time
to adjust to this determination. As such,
this final determination will not be
effective until 12 months after
publication of this final determination.
Also, FSIS inspection verification
sampling will be implemented 12
months after publication of this final
determination.
N. Cost Benefit Analysis
Comment: Poultry products trade
associations, a meat industry research
institute, and a member of the poultry
products industry, asserted that storage
costs under the proposal would be
greater than anticipated in the proposed
determination; however, they did not
provide any costs estimates to support
their assertion. Specifically, the
commenters argued that some
establishments do not have enough
storage capacity to hold products
awaiting test results and would, thus,
have to purchase off-site storage.
Further, commenters stated that the
proposed determination did not
adequately account for transportation or
labor costs, associated with moving
product to and from off-site storage
facilities. Commenters also asserted that
FSIS test results are likely to take longer
than estimated in the proposed
determination’s CBA and that test and
hold requirements will reduce shelf life
for these products.
Response: FSIS disagrees that the
anticipated costs for cold storage will be
greater than estimated in the proposed
determination. FSIS requires that
establishments maintain control of
sampled product pending FSIS
verification testing results so that
product does not enter commerce, while
allowing establishments the flexibility
of determining where to hold product as
well as deciding whether to divert
product into other uses. Additionally, as
mentioned above, establishments will
be able to complete the production
process using sampled product,
provided they maintain control of any
finished products and do not release
them into commerce, pending
acceptable test results. This will likely
reduce an establishment’s need for cold
storage capacity. To be conservative,
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FSIS’ preliminary cost benefit analysis
(CBA; 88 FR 26267) accounted for cold
storage costs assuming every lot would
be sampled and held. The final CBA
assumes FSIS would sample up to 5 lots
per establishment per month. The
preliminary CBA also assumed that
sampling would take place right before
the chicken component was stuffed and
formed into a NRTE breaded stuffed
chicken product. However, as discussed
above, FSIS has updated the sampling
location to give establishments greater
flexibility to divert products for other
uses and otherwise reduce operating
costs. Given FSIS’ assumed lower
sampling frequency, greater flexibility
in sampling location and
establishments’ ability to divert
components or products, FSIS does not
expect establishments to have
challenges holding or controlling FSIS
sampled product or have additional
labor or transportation issues. Moreover,
FSIS does not believe the quality or
shelf-life of NRTE breaded stuffed
chicken products would be impacted
during cold storage while industry
awaits FSIS sampling results because
these products are frozen. In response to
comments, FSIS updated the final CBA
by conservatively using the higher
estimate for frozen cold storage costs
instead of the refrigerated cold storage
costs used in the preliminary CBA.
FSIS also does not foresee an issue
with cold storage capacity. Cold storage
construction in the United States has
increased since 2020 to meet higher
refrigeration demands. According to the
U.S. Bureau of Labor Statistics, the
number of private refrigerated
warehouse facilities increased by 7.5
percent from 2020 to 2021 and an
additional 6.8 percent from 2021 to
2022.79 This increase compares to an
average annual growth rate of 2.5
percent per year from 2013 to 2020.80
With the increase in the number of cold
storage establishments, FSIS does not
expect the cold storage availability to
impact the establishments’ ability to
store lots of product when FSIS collects
a sample. For a conservative estimate,
the Agency assumed that all costs of
storing product for the sampled lots are
due to this final determination;
however, establishments may already
store the chicken components for NRTE
79 Bureau of Labor of Statistics. Number of
Establishments in Private NAICS 49312 Refrigerated
warehousing and storage for All establishment sizes
in U.S. TOTAL, NSA. Annual totals from 2013 to
2022. Accessed on September 27, 2023.
80 Bureau of Labor of Statistics. Number of
Establishments in Private NAICS 49312 Refrigerated
warehousing and storage for All establishment sizes
in U.S. TOTAL, NSA. Annual totals from 2013 to
2022. Accessed on September 27, 2023.
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breaded stuffed chicken products in
their facilities or in an off-site location
for a certain amount of time.
FSIS is confident in its estimated
sampling timeframes. In the final
determination, FSIS estimates all
product sampled and tested by FSIS
will be held for 2 days pending
screening and enumeration results. At
the 1 CFU/g limit, FSIS estimates that
about 97 percent of product could be
released after two days. Receiving the
enumeration results within two days
will help industry make more timely
decisions about their product and save
on cold storage and lost product costs.
Comment: A poultry products trade
association and meat industry research
institute stated that there are issues with
FSIS’ analysis of costs in the proposed
determination associated with diverted
or destroyed product. Specifically, these
commenters noted that there is not a
market for raw chicken components that
are already formulated for use in NRTE
breaded stuffed chicken products and,
thus, establishments producing raw
poultry products cannot readily divert
such products for other uses.
Response: FSIS proposed an
inspection verification sampling
program for Salmonella in NRTE
breaded stuffed chicken products in
which the Agency would collect a
sample from the chicken component of
NRTE breaded stuffed chicken product
prior to breading and stuffing, but after
the establishment had completed all the
processes needed to prepare the chicken
to be stuffed and breaded. However, in
the final determination, and based on
public comment, FSIS decided to
modify the verification sampling
location by collecting verification
samples on the incoming chicken
components. This change may provide
establishments with additional
flexibility and allow them to divert
chicken components more readily.
Comment: A poultry products trade
association and meat industry research
institute noted that many
establishments would be hesitant to
divert Salmonella-positive product for
other NRTE purposes. According to the
commenters, to avoid potential liability,
many establishments may cook the
affected product or employ some other
lethality step, resulting in a lower value
product. The commenters also asserted
that many establishments would need to
incorporate sampled lots into finished
NRTE breaded stuffed chicken products
to avoid spoilage.
Response: FSIS accounts for the lost
value in the CBA by assuming diverted
chicken components would lose 2⁄3 of
their market value. Alternatively, the
establishment is not required to divert
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product because FSIS collected a
sample and thus, may choose to
continue to produce NRTE breaded
stuffed chicken and hold the finished
product pending verification, which
FSIS also included in its estimates for
cold storage costs. NRTE breaded
stuffed chicken finished product
produced from chicken components that
FSIS detects to contain Salmonella at
levels of 1 CFU/g or higher are
considered adulterated; however,
establishments may be able to fully cook
these finished products to achieve
lethality resulting in a ready-to-eat
product.
Comment: Industry asked FSIS to
clarify how it estimated lot sizes in the
proposed determination’s CBA and
noted that the lot sizes may be larger
than estimated in the preliminary CBA.
Response: The lot size estimates used
in the preliminary CBA were an
assumption based on the Agency’s data
on annual production volumes at these
establishments. The preliminary CBA
assumed establishments producing at
least 1 million pounds of NRTE breaded
stuffed chicken annually were high
volume establishments with 10,000pound lots. This assumption was based
on examples from the 2013 FSIS
Compliance Guideline: Controlling Meat
and Poultry Products Pending FSIS Test
Results.81 The preliminary CBA
assumed establishments producing less
than 1 million pounds of NRTE breaded
stuffed chicken annually were lowvolume establishments with 1,000pound lots. This assumption was based
on production data from FSIS’ Public
Health Information System. FSIS
requested comments on these
assumptions but did not receive specific
comments on lot size for these products.
However, in responses to the comments
that the lot sizes may be larger, the final
CBA has been updated to consider a
day’s production as a lot at both high
and low volume establishments. This is
a conservative estimate because the lot
sizes may be smaller than a day’s
production. Establishments ultimately
define and support their lot sizes.
Comment: A meat industry research
institute and a poultry products
industry member stated that FSIS’ CBA
should have accounted for different
employee types to estimate sampling or
HACCP plan reassessment labor costs.
The same commenters stated that a food
safety, quality assurance, or a laboratory
employee are more likely to conduct
sampling. They stated that
81 FSIS Compliance Guideline: Controlling Meat
and Poultry Products. Pending FSIS Test Results.
2013. https://www.fsis.usda.gov/sites/default/files/
media_file/2021-09/FSIS-GD-2013-0003.pdf.
Accessed on: November 9, 2023.
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establishments typically do not use line
personnel to conduct sampling and,
thus, would need to hire additional
personnel to conduct tasks associated
with sampling and testing. Another
commenter suggested that FSIS should
better account for the wages of an
‘‘experienced production employee’’ in
estimating the labor costs of HACCP
plan reassessment.
Response: In response to comments,
the final CBA has been updated to
include that sample collection is
conducted by food scientists and
technologists. In addition, the final CBA
has been updated to included wage
ranges for all the wage estimates to
account for the variability in wage rates
within the professions. FSIS maintains
the assumption that establishments
would use and train current employees
to implement any new or additional
sampling in response to this final
determination. While the CBA
conservatively assumed every
establishment would begin or increase
sampling in response to this new policy,
some establishments already have
robust sampling procedures in place
and may not make any changes to their
sampling in response to the final
determination, while other
establishments may choose not to
conduct any sampling. Additionally, the
Agency did not receive any information
on the number of additional employees
an establishment would hire in response
to this final determination.
Comment: Poultry product trade
associations, a member of the poultry
products industry, and a meat industry
research institute stated that FSIS’ CBA
underestimated miscellaneous costs
associated with the proposed
determination, such as testing by
industry, employee training, applying
new Salmonella interventions, changing
production processes, and validating
new production methods and cooking
instructions. These commenters also
stated that the CBA underestimated the
market price of NRTE breaded stuffed
chicken products and, specifically,
failed to adjust the price for inflation.
Response: FSIS disagrees that
miscellaneous costs are underestimated.
FSIS included the cost of HACCP
reassessment in the CBA for all
establishments producing NRTE
breaded stuffed chicken products.
Sanitation procedures are a prerequisite
to HACCP and according to 9 CFR
416.1, ‘‘Each official establishment must
be operated and maintained in a manner
sufficient to prevent the creation of
insanitary conditions and to ensure that
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product is not adulterated.’’ 82 Any
sanitation issues should be addressed as
a condition for the establishment’s grant
of inspection. Any costs associated with
sanitation will not be a result of the new
policy.
FSIS did not include the cost of
validating cooking instructions in the
CBA because industry has already made
the recommended changes after the
2015–2016 outbreaks. Any expenses
establishments incur to validate cooking
instructions or update labels are outside
the scope of the policy.
FSIS updated the final CBA to 2022
dollars and used the 2022 average price
of chicken breast to represent the price
of chicken components for NRTE
breaded stuffed chicken product. To be
conservative, FSIS used the retail price
of boneless chicken breast, which is the
premium chicken component utilized in
these products.
Comment: Poultry product trade
associations, a member of the poultry
product industry, and a meat industry
research institute noted that sampling
and testing alone does not change
pathogen loads. Thus, according to
commenters, the CBA should assume
that establishments will bear the costs of
updating their processes to control
Salmonella.
Response: The final determination
and FSIS inspection verification of the
adequacy of the HACCP system to
control the Salmonella hazard, will
require industry to use effective
methods to control Salmonella in NRTE
breaded stuffed chicken products
regardless of whether FSIS collects an
inspection verification sample. FSIS
included the cost for establishment-led
sampling and testing in the CBA.
Establishment-led sampling is an
establishment HACCP validation and
verification activity that would allow for
establishments to support the adequacy
of their HACCP system to control the
Salmonella hazard at one or more steps
in the process and verify that they are
producing NRTE breaded stuffed
chicken products with less than
1 CFU/g Salmonella.
Establishments may implement
additional interventions to reduce the
pathogen loads on their chicken
component, but since FSIS did not
receive specific comments on the
interventions that establishments would
use to reduce the Salmonella levels on
the product, the cost of interventions are
not included in the total cost estimate.
Though the cost of interventions is not
82 National Archives. Code of Federal
Regulations. Part 416.1 Sanitation Rules: General
Rules. Accessed on October 11, 2023: https://
www.ecfr.gov/current/title-9/chapter-III/subchapterE/part-416.
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included in the CBA, establishments
would only adopt new interventions if
the new interventions and the cost to
implement interventions is more
beneficial than diverting or destroying
product. Any new interventions used
should offset the cost of diverted or
destroyed product already accounted for
in the CBA.
Comment: A poultry products trade
association stated that the benefits of the
proposed determination would need to
be greater than estimated to achieve the
breakeven effect noted in FSIS’ CBA, as
costs were underestimated. According
to the commenter, the use of the Grocery
Manufacturers Association (GMA) data
does not address the specific nature of
recalls for this product class, and the
CBA should account for every recall and
not every outbreak. The commenter also
argued that since trends show the
number of outbreaks in these products
has decreased over the years, industry
may already be implementing
interventions and trending toward less
outbreaks through voluntary actions.
Response: FSIS disagrees that costs
are underestimated and that benefits
need to be higher for the final breakeven
analysis. FSIS also disagrees that the
GMA report 106 is not in scope for NRTE
breaded stuffed chicken products. The
GMA report is based on survey results
from 36 companies and nearly 91
percent of respondents came from the
food and beverage industry. FSIS used
this report to determine the average
impact of a recall on industry. The cost
of recalls in NRTE breaded stuffed
chicken products would be similar to
the cost of recalls averaged over other
food products represented in the GMA
report.
While the number of outbreaks has
slowed slightly in recent years,
outbreaks are still occurring regularly,
and we have no reason to believe that
there would be a downward trend
absent this new policy. The most recent
2021 outbreak resulted in more
hospitalizations than any of the 14 other
NRTE breaded stuffed chicken product
outbreaks, with 36 illnesses, and 12
hospitalizations (88 FR 26258–26259).
Salmonella outbreaks have been
disproportionately associated with
NRTE breaded stuffed chicken products,
which account for less than 0.15 percent
of the total domestic chicken supply yet
represented approximately five percent
of all chicken-associated outbreaks in
the United States (88 FR 26252). Based
on the available data, FSIS believes that
a downward trend in Salmonella
outbreaks and illnesses from NRTE
breaded stuffed chicken can only be
achieved by a policy change. The new
policy is expected to cause industry to
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use more effective methods to control
for Salmonella in NRTE breaded stuffed
chicken products, including diverting,
or destroying chicken components with
Salmonella levels at or over the
1 CFU/g limit.
O. Additional Action
Comment: One individual stated that,
in addition to the actions discussed in
the proposed determination, FSIS
should incentivize establishments to
only implement validated control
programs in their HACCP Systems.
Response: FSIS regulations at 9 CFR
417.4(a) require that every
establishment validate their HACCP
plan’s adequacy in controlling the food
safety hazards identified during the
hazard analysis and verify that the plan
is being effectively implemented.
Therefore, establishments are currently
required to implement control programs
into their HACCP Systems that are
validated. FSIS has published guidance
for industry on how to validate their
HACCP Systems.83
Comment: In addition to the actions
discussed in the proposed
determination, a consumer advocacy
organization suggested that FSIS create
final product standards for all poultry
products contaminated with
Salmonella.
Response: This determination is only
concerned with Salmonella in NRTE
breaded stuffed chicken products. The
recommendation is, thus, outside the
scope of the proposed determination.
FSIS intends to address issues related to
Salmonella illnesses associated with
other raw poultry products separately
through the Salmonella Framework
Initiative.84
Comment: One animal welfare
organization noted that stress can cause
or exacerbate Salmonella infections in
live poultry and, thereby, increase
contamination in final products. Thus,
in addition to the actions discussed in
the proposed determination, the
commenter asked FSIS to consider
strategies to minimize the time poultry
spend awaiting slaughter, protect live
poultry from severe environmental
conditions during holding, ensure stun
baths are designed to prevent pre-stun
shocks, and otherwise minimize stress,
bruising, and injury to birds during
transport.
83 FSIS Compliance Guideline: HACCP Systems
Validation. April 2015. Available at: https://
www.fsis.usda.gov/sites/default/files/import/
HACCP_Systems_Validation.pdf.
84 FSIS, Proposed Regulatory Framework to
Reduce Salmonella Illnesses Attributable to
Poultry, available https://www.fsis.usda.gov/
inspection/inspection-programs/inspection-poultryproducts/reducing-salmonella-poultry/proposed.
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Response: The final determination is
concerned with Salmonella in NRTE
breaded stuffed chicken products and
specifically, establishing an adulteration
threshold, and inspection verification of
the new policy. Thus, the commenters’
suggestions are not within the scope of
this action. However, FSIS guidance
specifically addresses best practices to
control Salmonella prior to and during
slaughter and processing.85 FSIS
inspection program personnel (IPP) also
routinely verify that poultry
establishments operate in accordance
with Good Commercial Practices, which
includes the employment of humane
methods of handling and slaughtering.86
Comment: An industry member asked
FSIS to partner with the U.S. Food and
Drug Administration (FDA) to
implement the 1 CFU/g standard for
other RTE items such as peanut butter,
lettuce, tomatoes, and other goods that
have been linked to Salmonella
outbreaks so there is a consistent
standard for all such products.87
Another industry member
recommended that FSIS partner with
universities to develop education
programs aimed at ensuring that robust
statistical process control systems are
implemented at establishments. The
commenter also asked FSIS to work
with the USDA Animal and Plant
Health Inspection Service to promote
vaccine approval, and with other
Federal partners to develop more
widespread salmonellosis risk
assessments.
Response: Recommendations,
petitions, and comments on non-FSISregulated food products should be
directed to FDA. FSIS regularly partners
with Federal and State health partners
and academia to address issues
pertaining to Salmonella in FSISregulated products. FSIS will continue
these partnerships to ensure food safety
and further consumer protections.
Comment: A poultry products trade
association and an industry member
stated that FSIS should amend 9 CFR
381.173 and 381.174 to prohibit
mechanically separated chicken (MSC)
from being used as a component of
NRTE breaded stuffed chicken products.
85 FSIS Guideline for Controlling Salmonella in
Raw Poultry. June 2021. Available at: https://
www.fsis.usda.gov/sites/default/files/media_file/
2021-07/FSIS-GD-2021-0005.pdf.
86 FSIS Directive 6110.1, Verification of Poultry
Good Commercial Practices, available at: https://
www.fsis.usda.gov/policy/fsis-directives/6110.1.
87 Foodborne illness source attribution estimates
for 2019 for Salmonella, Escherichia coli O157,
Listeria monocytogenes, and Campylobacter using
multi-year outbreak surveillance data, United
States. The Interagency Food Safety Analytics
Collaboration (IFSAC); October 2021.
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Response: At this time, FSIS does not
believe that 9 CFR 381.173 and 381.174
need to be revised because, under this
determination, all source material
received and used to produce NRTE
breaded stuffed chicken must be
considered in the establishment’s
hazard analysis to support the
Salmonella hazard control required and
intended by the HACCP system. Any
raw chicken components establishments
use to produce NRTE breaded stuffed
chicken, including MSC, will be subject
to FSIS’ food safety inspection
verification. MSC must also appear in
the ingredients statement.
P. Alternatives to the Proposed Action
Comment: In lieu of the proposed
action, a poultry products trade
association and an industry member
stated that FSIS should take the actions
described in the 2022 supplement to the
National Chicken Council’s 2016
petition 88 and otherwise focus on
improved labeling for NRTE breaded
stuffed chicken products.
Response: As discussed throughout
the proposed determination and above,
over the years, establishments have
repeatedly updated their NRTE breaded
stuffed chicken product labeling
practices in response to reoccurring
illness outbreaks caused by these
products in an attempt to reduce future
instances of salmonellosis. However,
these attempts have been unsuccessful.
Thus, FSIS does not believe codifying
special labeling requirements for NRTE
breaded stuffed chicken products is
likely to address the Salmonella
concerns related to these types of
products.
Comment: In lieu of the proposed
action, a poultry products trade
association stated that FSIS should,
amongst other actions, require all NRTE
breaded stuffed chicken to reassess their
HACCP plan, noting that FSIS has taken
similar approaches in the past.
Response: HACCP system regulations
require that every establishment
reassess the adequacy of its HACCP plan
at least annually and whenever any
changes occur that could affect the
underlying hazard analysis or alter the
HACCP plan (9 CFR 417.4(a)(3)). This
final determination that Salmonella at
levels of 1 CFU/g or higher is an
adulterant in NRTE breaded stuffed
chicken products constitutes such a
change. Thus, all establishments that
88 FSIS Petition 16–03, Establish Labeling
Requirements for Not-Ready-To-Eat Stuffed Chicken
Products. Originally submitted on May 24, 2016.
Supplemented on February 25, 2022. Available at:
https://www.fsis.usda.gov/federal-register/petitions/
establish-labeling-requirements-not-ready-eatstuffed-chicken-products.
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produce NRTE breaded stuffed chicken
products must reassess their HACCP
plans. Establishments that make
changes to their production process as
a result of their reassessment would also
need to re-validate their HACCP plans.
FSIS will issue instructions to IPP in
establishments that produce NRTE
breaded stuffed chicken products to
verify that these establishments have
completed their reassessment before the
effective date of this final
determination. That said, FSIS does not
believe that a HACCP reassessment, in
the absence of a change in policy, is
likely to be a sufficient option to
address the Salmonella concerns related
to these types of products. As discussed
in the proposed determination, FSIS
believes the appropriate response to
protect public health is to ensure that
NRTE breaded stuffed chicken products
contaminated with Salmonella at levels
sufficient to cause human illness are
excluded from commerce.
Comment: In lieu of the proposed
action, a poultry products trade
association and meat industry research
institute suggested that FSIS, amongst
other things, develop guidance for
processing NRTE breaded stuffed
chicken products to reinforce best
practices and help small establishments.
Response: FSIS currently has several
applicable industry guidance resources
available. FSIS has, for example,
published industry guidance on NRTE
breaded stuffed chicken product
labeling 89 and industry guidance for
controlling Salmonella in raw poultry to
assist establishments that slaughter or
process raw poultry products to prevent
and minimize the risk of Salmonella in
their operations.90 These documents
contain best practices and
recommendations for industry to
consider in their food safety system(s).
FSIS will continue to publish and revise
relevant guidance, as needed. However,
FSIS does not believe that new or
updated guidance, in the absence of a
change in policy, is likely to be a
sufficient option to address the
Salmonella concerns related to these
types of products.
Comment: In lieu of the proposed
action, a poultry products trade
association stated that FSIS should,
amongst other things, conduct food
safety assessments (FSAs) at
89 FSIS Labeling Policy Guidance: Uncooked,
Breaded, Boneless Poultry Products. Available at:
https://www.fsis.usda.gov/sites/default/files/
import/Labeling_Policy_Guidance_Uncooked_
Breaded_Boneless_Poultry_Products.pdf.
90 FSIS Guideline for Controlling Salmonella in
Raw Poultry. June 2021. Available at: https://
www.fsis.usda.gov/sites/default/files/media_file/
2021-07/FSIS-GD-2021-0005.pdf.
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establishments producing NRTE
breaded stuffed chicken products to
verify that food safety systems are being
implemented properly for these
products. The commenter also noted
that these FSAs could also help identify
best food safety practices for producing
such products.
Response: FSIS does not believe that
conducting FSAs, in lieu of this final
determination, would sufficiently
address the Salmonella concerns related
to these types of products.
FSIS assigns and conducts Public
Health Risk Evaluations (PHREs) as
described in FSIS Directive 5100.4 91
using both for-cause and routine riskbased PHRE criteria. PHREs are an
analysis of establishment performance
and use risk-based criteria to determine
if FSIS will conduct an FSA. FSAs, as
described in FSIS Directive 5100.1,92
are conducted to assess an
establishment’s food safety system and
verify that meat, poultry, or egg
products are safe, wholesome, and
produced in accordance with FSIS
statutory and regulatory requirements.
FSIS will continue to conduct PHREs
and FSAs following the criteria
described in these FSIS Directives at
establishments that produce NRTE
breaded stuffed chicken products.
Comment: A poultry products trade
association and a trade association
representing the frozen food industry
stated that FSIS should implement the
recommendations outlined in
NACMPI’s 2021 report.93
Response: As discussed in the
proposed determination (88 FR 26259),
the report provided several
recommendations that primarily focus
on the labeling of NRTE breaded stuffed
chicken products. Specifically, the
subcommittee recommended that FSIS
re-verify that companies continue to
voluntarily label NRTE breaded stuffed
chicken products as raw in several
places on the label and that labels of
these products include validated
cooking instructions. The subcommittee
also recommended that FSIS update the
2006 labeling guidance to warn
consumers not to use microwaves and
air fryers if validated instructions are
not provided for these methods and to
cook the product to a minimum of
91 FSIS Directive 5100.4, Public Health Risk
Evaluation Methodology, available at:https://
www.fsis.usda.gov/sites/default/files/media_file/
2021-08/5100.4.pdf.
92 FSIS Directive 5100.1, Public Health Risk
Evaluation Methodology, available at: https://
www.fsis.usda.gov/sites/default/files/media_file/
2021-08/5100.4.pdf.
93 National Advisory Committee on Meat and
Poultry Inspection, Subcommittee II: Stuffed Not
Ready-to-Eat Poultry Products, USDA (Sept. 28,
2021).
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165 °F as measured using a food
thermometer. The subcommittee further
recommended that FSIS add label
verification for these products as a
recurring task for inspectors and review
labels from the 2021 outbreak. In
addition, the subcommittee
recommended that FSIS require
establishments that produce these
products to reassess their HACCP plans
in light of the outbreaks and encouraged
FSIS to conduct targeted consumer
outreach regarding these types of
products, including creating an FSIS
web page highlighting NRTE breaded
stuffed chicken products. The
subcommittee also recommended that
FSIS establish requirements for the
labeling of NRTE breaded stuffed
chicken products and publish industry
guidance explaining how to validate
cooking instructions for such products.
In light of the 2021 Salmonella
outbreak and earlier outbreaks
associated with these products, the
Agency concluded and shared with
NACMPI in 2023 that the
recommendations, which focus
primarily on product labeling and
consumer handling practices, are
unlikely to be effective in preventing
additional foodborne illnesses
associated with NRTE breaded stuffed
chicken products. Therefore, FSIS
concluded that public health measures
that focus primarily on product labeling
and consumer handling practices have
not been effective in preventing
additional foodborne illnesses
associated with NRTE breaded stuffed
chicken products.
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III. Implementation
A. HACCP Reassessment
FSIS’ regulations require that every
establishment reassess the adequacy of
its HACCP plan at least annually and
whenever any changes occur that could
affect the underlying hazard analysis or
alter the HACCP plan (9 CFR
417.4(a)(3)). This final determination
that Salmonella at levels of 1 CFU/g or
higher is an adulterant in NRTE breaded
stuffed chicken products constitutes
such a change. Thus, as discussed in the
proposed determination (88 FR 26264),
FSIS is announcing that all
establishments that produce Heat
Treated but Not Fully Cooked—Not
Shelf Stable NRTE breaded stuffed
chicken products must reassess their
HACCP plans; establishments can
reassess as part of their annual
reassessment if their annual
reassessment occurs before the effective
date. Establishments that make changes
to their production process as a result of
their reassessment would also need to
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revalidate their HACCP plans. Prior to
the effective date of this final
determination, FSIS will issue
instructions to IPP in establishments
that produce NRTE breaded stuffed
chicken products to verify that these
establishments have completed their
reassessment. Establishments must
complete the reassessment and
revalidate their HACCP plans by May 1
2025.
B. Implementation and Status of
Laboratory Methods
As explained in the proposed
determination (88 FR 26264–26266),
FSIS will implement routine sampling
and verification testing for Salmonella
in NRTE breaded stuffed chicken
products. In the proposed determination
(88 FR 26264), FSIS stated that it would
collect samples from the chicken
component of a NRTE breaded stuffed
chicken product prior to breading and
stuffing after the establishment had
completed all the processes needed to
prepare the chicken to be stuffed and
breaded. However, in response to public
comments, FSIS has decided to modify
the proposed verification sampling
location to give establishments greater
flexibility to divert source components
for other appropriate uses and, thereby,
lower lost product costs. Therefore,
instead of collecting verification
samples after the establishment has
completed all processes needed to
prepare the chicken component to be
stuffed and breaded to produce a final
NRTE breaded stuffed chicken product,
as was proposed, FSIS will collect
verification samples on the raw
incoming chicken components used to
produce NRTE breaded stuffed chicken
product. In implementing sampling and
verification testing for these products,
FSIS will consider the production
process at each impacted establishment
and the Agency’s ability to collect
samples safely and effectively.
FSIS intends to perform, evaluate,
determine, and report whole genome
sequencing (WGS), serotype, levels, and
antimicrobial resistance (AMR) profile
for Salmonella isolates identified.94 As
noted in the proposed determination (88
FR 26262), FSIS intends to continuously
evaluate and, if necessary, refine the
status of Salmonella as an adulterant in
NRTE breaded stuffed chicken products
94 This information would be reported as with
any test result. Inspectors would get result through
the Public Health Information System (PHIS). FSIS
would report out through Laboratory Information
Management System (LIMS) Direct for industry as
well as the result would be in the new PHIS sample
result history report. The results would also be in
public release data sets that the Agency does
quarterly. The WGS data would also be uploaded
to NCBI as are other Salmonella isolates.
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as advances in science and technology
related to pathogen levels, serotypes,
virulence genes, and product matrices
become available. FSIS will likewise
refine its sampling and verification
testing for these products, as needed.
The detection and isolation
methodology for Salmonella is
described in chapter 4.14, of the FSIS
Microbiology Laboratory Guidebook
(MLG).95 When sampling the raw
incoming chicken components of NRTE
breaded stuffed chicken products under
this final determination, FSIS will
collect one pound of the selected
incoming chicken component from the
establishment to analyze 325 grams per
test for Salmonella. Samples will be
initially screened, post-enrichment, for
the presence or absence of Salmonella.
Samples that screen negative will be
reported as ‘‘negative.’’ For samples that
screen positive, FSIS will then analyze
Salmonella levels. Potential positives
that screen positive for Salmonella
presence and contain levels ≥1 CFU/g
will then be analyzed using selective
and differential culture-based media to
identify the presumptive positive
samples. Presumptive positives will
then be confirmed by molecular-based
mass spectrometric identification. A
sample is only considered a ‘‘confirmed
positive’’ for Salmonella after
completion of both cultural and
confirmatory testing. If any chicken
component is ‘‘confirmed positive’’ with
Salmonella levels of 1 CFU/g or higher,
the entire sampled lot will need to be
diverted to a use other than NRTE
breaded stuffed chicken products. Any
NRTE breaded stuffed chicken products
that contain a chicken component from
a sampled lot confirmed positive with
Salmonella levels of 1 CFU/g or higher
prior to stuffing and breading will be
considered adulterated and excluded
from commerce.
FSIS estimates that negative results
will routinely be available within two
days of sample collection, assuming
overnight sample transit to the
laboratory coupled with an overnight
sample enrichment followed by
screening and quantification at the
laboratory. Enumeration is conducted
from the same sample as screen testing
and both results will be reported on the
same day. For samples that are potential
positives, an additional 3 days may be
necessary for a confirmed positive or
negative result. These timeframes and
methods may change as FSIS
incorporates new laboratory
95 FSIS Microbiology Laboratory Guidebook
available at: https://www.fsis.usda.gov/news-events/
publications/microbiology-laboratory-guidebook.
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technologies into its sampling and
verification testing.96
FSIS does not intend to begin the
sampling and verification testing
discussed in this final determination
until May 1, 2025. This should give
establishments enough time to adjust
their relevant procedures and processes
to facilitate such sampling and testing.
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C. Sampled Lot
When FSIS tests a product for
adulterants, the Agency withholds its
determination as to whether product is
not adulterated, and thus eligible to
enter commerce, until all test results
that bear on the determination have
been received.97 Under this policy,
establishments must maintain control of
products tested for adulterants to ensure
that the products do not enter commerce
while waiting for receipt of the test
results. Thus, when FSIS samples raw
incoming chicken components intended
for use in NRTE breaded stuffed chicken
products, establishments will need to
control and maintain the integrity of the
sampled chicken components (i.e., the
sampled lots) pending the availability of
test results. As noted above,
establishments may incorporate
sampled lots into finished NRTE
breaded stuffed chicken products, so
long as those finished products remain
under establishment control awaiting
test results.
FSIS IPP will give establishments that
produce NRTE breaded stuffed chicken
product advance notice before they
collect a product sample for verification
testing to give the establishment enough
time to hold or control the sampled lot.
Establishments are responsible for
providing a supportable basis for
defining the sampled lot. For sampling
96 For example, on July 8, 2022, FSIS announced
that it had awarded a contract to bioMe´rieux to
incorporate its non-enrichment quantification
system for Salmonella, ‘GENE–UPTM QUANT
Salmonella,’ into the Agency’s laboratory system.
The Agency evaluated commercially available
quantification systems and determined that this
technology is the most appropriate for use in the
high throughput FSIS laboratory environment. FSIS
stated that in the future, the Agency would
announce when the method is available and when
it will be implemented in all three FSIS food testing
laboratories. FSIS also stated that it plans to extend
pathogen quantification technology to sample types
other than raw poultry rinses in the future (see FSIS
Constituent Update, Jul 8, 2022, FSIS to include
Salmonella Quantification in Raw Poultry Rinse
Samples. Available at: https://www.fsis.usda.gov/
news-events/news-press-releases/constituentupdate-july-8-2022#:∼:text=Salmonella
%20quantification%20is%20a%20significant
%20step%20in%20FSIS
%E2%80%99,regulatory%20sample
%2C%20not%20solely%20its%20presence%20or
%20absence.
97 Not Applying the Mark of Inspection Pending
Certain Test Results, 77 FR 73401, December 10,
2012.
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purposes, production lots should be
defined such that they are
microbiologically independent.
Microbiological independence is
documented by separation, (e.g.,
physical, temporal, or by sanitation
intervention), that clearly delineates the
end of one production lot and the
beginning of the next. The
microbiological results from one test are
independent of prior or later lots. In
other words, if a chicken component
sample collected prior to stuffing and
breading tests positive for Salmonella at
a level of 1 CFU/g or higher, products
from other chicken component lots
should not be implicated if the lots are
microbiologically independent.
Generally, FSIS recommends that
establishments develop and implement
in-plant sampling plans that define
production lots or sub-lots that are
microbiologically independent of other
production lots or sub-lots. Production
lots that are so identified may bear
distinctive markings on the shipping
cartons. FSIS has issued guidance to
help establishments comply with the
requirement that product that FSIS has
tested for adulterants does not enter
commerce until test results become
available.98 FSIS intends to update the
guidance to add NRTE breaded stuffed
chicken products. In addition to
providing guidance on adequate control
measures establishments can implement
for products tested for adulterants, the
document also includes guidance on
how establishments can define a
product lot in order to determine the
amount of product that must be
controlled pending test results. Before
implementation, FSIS will update the
guidance to cover sampling and
verification testing for Salmonella in the
selected raw incoming chicken
components intended for use in NRTE
breaded stuffed chicken products.
D. State Programs and Foreign
Government Programs
States that have their own poultry
inspection programs for poultry
products produced and transported
solely within the State are required to
have mandatory ante-mortem and postmortem inspection, reinspection, and
sanitation requirements that are at least
equal to those in the PPIA (21 U.S.C.
454(a)(1)). In accordance with this final
determination, these States will need to
adopt sampling procedures and testing
methods to detect Salmonella at
1 CFU/g or above in the chicken
98 FSIS Compliance Guideline: Controlling Meat
and Poultry Product Pending FSIS Test Results
(2013) at: https://www.fsis.usda.gov/guidelines/
2013-0003.
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35051
component in NRTE breaded stuffed
chicken products that are at least equal
to FSIS’ procedures and testing methods
for State-inspected establishments that
produce these products.99 Any State
participating in a Cooperative Interstate
Shipment Program will need to adopt
FSIS’ sampling procedures and testing
methods to detect Salmonella at 1 CFU/
g or above in NRTE breaded stuffed
chicken products in selected
establishments that produce these
products for shipment in interstate
commerce that are the ‘‘same as’’ those
utilized by FSIS (21 U.S.C. 472).
Foreign countries that are eligible to
export poultry products to the United
States must apply inspection, sanitation,
and other standards that are equivalent
to those that FSIS applies to those
products (21 U.S.C. 466). At this time,
no foreign countries export NRTE
breaded stuffed chicken products to the
United States. As discussed in the
proposed determination (88 FR 26267),
in evaluating a foreign country’s poultry
products inspection system to
determine the country’s eligibility to
export NRTE breaded stuffed chicken
products to the United States, FSIS
would consider whether the sampling
procedures and testing methods the
country uses to detect Salmonella at 1
CFU/g in these products are equivalent
to those that FSIS uses.
IV. Anticipated Costs and Benefits of
This Final Determination
FSIS has considered the economic
effects of this determination and has
updated the final CBA in response to
public comments. In the final CBA, FSIS
updated the estimated costs and benefits
for the final policy from those published
in the preliminary CBA from 2021 to
2022 dollars. Also, in response to public
comments, FSIS updated the assumed
lot size for FSIS and industry sampling,
included a range of wages, updated the
assumed type of employee that will
conduct establishment led sampling,
and updated the assumptions used to
estimate cold storage time and costs.
With input from the Centers for Disease
Control and Prevention (CDC), the
Agency included an under-reporting
multiplier of 25.5 to estimate the actual
number of Salmonella illnesses
associated with outbreaks from NRTE
breaded stuffed chicken products.100 101
99 FSIS is not aware of any State-inspected
establishments that produce NRTE stuffed chicken
products.
100 Scallan E, Hoekstra RM, Angulo FJ, Tauxe RV,
Widdowson MA, Roy SL, Jones JL, Griffin PM.
Foodborne illness acquired in the United States—
major pathogens pdf icon [PDF—9 pages]. Emerging
Infectious Diseases. 2011;17(1):7–15: https://
www.ncbi.nlm.nih.gov/pmc/articles/PMC3375761/.
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In the final determination, the Agency
also includes an estimated opportunity
cost for the Agency to implement the
new sampling and testing program and
updated the impact on small businesses
analysis.102 The full analysis is available
at: https://www.regulations.gov/docket/
FSIS-2022-0013/document.
Summary of Estimated Costs and
Benefits
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The final determination is expected to
impact six domestic establishments and
cost industry at least $5.29 million
annually, assuming a 7 percent discount
rate over a ten-year period. These costs
are associated with HACCP plan
reassessments, holding sampled chicken
components or finished products in
storage awaiting FSIS test results, the
costs associated with developing and
implementing an establishmentconducted sampling program and
destroying or diverting the chicken
components of NRTE breaded stuffed
chicken with Salmonella levels at or
over the 1 CFU/g limit. Industry may
also incur other costs associated with
their individual responses to this policy,
including applying interventions,
training, product reformulation and
label changes, and subsequent HACCP
plan validation. However, based on
public comments, the Agency does not
expect establishments to make these
changes. If establishments were to
implement these additional changes,
then we would expect both additional
costs and benefits. The Agency would
incur an opportunity cost of $0.02
million associated with sampling and
testing for Salmonella., FSIS will be
able to shift existing resources as
necessary to conduct sampling, testing,
and associated FSAs to implement the
final determination. The estimated total
cost for this policy is $5.31 million:
$5.29 million in costs to industry and
$0.02 million in opportunity costs for
FSIS, assuming a 7 percent discount rate
over a 10-year period.
The estimated benefits for this policy
are derived from preventing outbreak101 FSIS used the under-reporting multiplier of
25.5 estimated in Scallan et al. for a group of
pathogens for which only outbreak data were
available to approximate the total number of cases
for NRTE stuffed chicken products. FSIS used this
under-reporting multiplier as only outbreak data is
available for NRTE stuffed chicken products.
102 As noted by the Office of Management and
Budget in the Circular No. A–4 published on
November 9, 2023. Opportunity costs ‘‘is the cost
attributable to a regulation if an agency will be
performing enforcement activities or otherwise
using resources in connection with that regulation,
even if the agency’s budget is not increasing.’’
https://www.whitehouse.gov/wp-content/uploads/
2023/11/CircularA-4.pdf. Accessed on 02/15/2024.
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Jkt 262001
related recalls.103 Each prevented
outbreak-related recall has an estimated
benefit of $34.99 million ($1.42 million
in health benefits + $33.57 million in
industry benefits). Between 2006 and
2021 there was one outbreak every 1.36
years on average (15 years ÷ 11
outbreaks). Total benefits will exceed
total costs if the new policy prevents at
least 1 outbreak-related recall every 6.6
years ($34.99 million ÷ $5.31million).104
Though the policy may not prevent
every possible outbreak-related recall,
the Agency expects it will prevent at
least 1 every 6.6 years.
Without this policy, there is a higher
risk of Salmonella illnesses from NRTE
breaded stuffed chicken products. When
only considering health benefits, the
policy would break-even if 1,134
illnesses were avoided annually ($5.31
million ÷ $4,682).105 The smallest
number of cases associated with an
outbreak from NRTE breaded stuffed
chicken products occurred in 2009, with
2 reported cases, which represents an
estimated 51 cases and a cost burden of
$0.24 million, when applying the underreporting multiplier of 25.5.106 The
largest number of reported cases
associated with outbreaks occurred
between 2008–2009, with 47 reported
cases, which represents 1,199 estimated
cases and a cost burden of $5.6 million,
when applying the under-reporting
multiplier.107 108 Despite proper
labeling, the most recent outbreak in
2021 occurred with 36 reported cases,
which represents 918 estimated cases
and a cost burden of $4.3 million. In the
final determination, FSIS is declaring
NRTE breaded stuffed chicken products
that contain Salmonella at levels of 1
CFU/g or higher adulterated. FSIS
intends to carry out verification
103 Though each reported outbreak between 2006
and 2021 did not result in a recall, FSIS assumes
there is a risk of recall with each possible
Salmonella outbreak.
104 Numbers may not add up due to rounding.
105 Number rounded to the nearest whole number.
106 Scallan E, Hoekstra RM, Angulo FJ, Tauxe RV,
Widdowson MA, Roy SL, Jones JL, Griffin PM.
Foodborne illness acquired in the United States—
major pathogens pdf icon [PDF—9 pages]. Emerging
Infectious Diseases. 2011;17(1):7–15: https://
www.ncbi.nlm.nih.gov/pmc/articles/PMC3375761/.
107 Food Safety and Inspection Service, USDA.
Salmonella in Not Ready-To-Eat Breaded Stuffed
Chicken Products. Final Determination. Docket No.
FSIS–2022–0013, available at: https://
www.regulations.gov/docket/FSIS-2022-0013.
108 The FSIS estimate for the cost of Salmonellarelated illness $4,682 per case, (2022 dollars) was
developed using the USDA, Economic Research
Service, Cost Estimates of Foodborne Illness
Salmonella (October 2014) updated for inflation.
https://www.ers.usda.gov/data-products/costestimates-of-foodborne-illnesses/. The cost model
accounts for medical costs (including
hospitalizations), premature death and productivity
loss. Numbers may not calculate due to rounding.
PO 00000
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procedures, including sampling and
testing of the raw incoming chicken
components used to produce NRTE
breaded stuffed chicken products, to
verify that producing establishments do
not produce adulterated products. This
determination, and the associated FSIS
verification procedures, should decrease
the number of illnesses associated with
Salmonella in NRTE breaded stuffed
chicken products.
Impact on Small Businesses
In the CBA, FSIS defines high-volume
establishments as establishments that
produce at least 1 million pounds of
NRTE breaded stuffed chicken products
annually and low-volume
establishments as establishments that
produce less than 1 million pounds
annually. Using these categories, three
of the six establishments that produce
NRTE stuffed chicken products were
classified as high-volume, and three
establishments as low volume. All three
of the low-volume establishments are
HACCP size small or very small.109 FSIS
expects the cost burden of this
determination on low-volume
establishments would be under 4.2
percent of the estimated revenue from
NRTE stuffed chicken for these three
establishments. Establishments are not
required to develop and implement
their own sampling programs in
response to this determination. If
establishments chose to avoid these
voluntary costs, the final determination
is estimated to cost low-volume
establishments about 1.9 percent of
estimated revenue from NRTE breaded
stuffed chicken products produced at
these three establishments. In addition,
nearly 90 percent of production at two
of the three low-volume establishments
is product other than NRTE breaded
stuffed chicken. Thus, the impact of this
final determination would represent a
smaller percentage of these
establishments’ overall total revenue.
Further, once the policy is
implemented, FSIS does not intend to
begin the FSIS sampling and the
verification testing discussed in the
final determination until 12 months
after the date of publication in the
Federal Register. A small business
would have this time to prepare for
changes, lowering the burden. Finally,
establishments needing monetary
assistance with this new policy may be
able to take advantage of the grants and
financial options available to small
109 Under the HACCP size definitions, large
establishments have 500 or more employees, small
establishments have between 10 and 499
employees, and very small establishments have less
than 10 employees or less than $2.5 million in
annual revenue. 61 FR 38806.
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Federal Register / Vol. 89, No. 85 / Wednesday, May 1, 2024 / Notices
establishments, reducing potential
burden. More information on these
loans and grants can be found on the
FSIS website.110
ddrumheller on DSK120RN23PROD with NOTICES1
V. USDA Non-Discrimination Statement
In accordance with Federal civil
rights law and USDA civil rights
regulations and policies, USDA, its
Mission Areas, agencies, staff offices,
employees, and institutions
participating in or administering USDA
programs are prohibited from
discriminating based on race, color,
national origin, religion, sex, gender
identity (including gender expression),
sexual orientation, disability, age,
marital status, family/parental status,
income derived from a public assistance
program, political beliefs, or reprisal or
retaliation for prior civil rights activity,
in any program or activity conducted or
funded by USDA (not all bases apply to
all programs). Remedies and complaint
filing deadlines vary by program or
incident.
Program information may be made
available in languages other than
English. Persons with disabilities who
require alternative means of
communication to obtain program
information (e.g., Braille, large print,
audiotape, American Sign Language)
should contact the responsible Mission
Area, agency, or staff office; the USDA
TARGET Center at (202) 720–2600
(voice and TTY).
To file a program discrimination
complaint, a complainant should
complete a Form AD–3027, USDA
Program Discrimination Complaint
Form, which can be obtained online at
https://www.usda.gov/forms/
electronicforms, from any USDA office,
by calling (866) 632–9992, or by writing
a letter addressed to USDA. The letter
must contain the complainant’s name,
address, telephone number, and a
written description of the alleged
discriminatory action in sufficient detail
to inform the Assistant Secretary for
Civil Rights (ASCR) about the nature
and date of an alleged civil rights
violation. The completed AD–3027 form
or letter must be submitted to USDA by:
(1) Mail: U.S. Department of
Agriculture, Office of the Assistant
Secretary for Civil Rights, 1400
Independence Avenue SW, Washington,
DC 20250–9410;
(2) Fax: (833) 256–1665 or (202) 690–
7442; or
(3) Email: program.intake@usda.gov.
USDA is an equal opportunity
provider, employer, and lender.
110 Grants and Financial Options, USDA FSIS
https://www.fsis.usda.gov/inspection/apply-grantinspection/grants-financial-options.
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VI. Additional Public Notification
Public awareness of all segments of
rulemaking and policy development is
important. Consequently, FSIS will
announce this Federal Register
publication on-line through the FSIS
web page located at: https://www.fsis.
usda.gov/federal-register. FSIS also will
make copies of this publication
available through the FSIS Constituent
Update, which is used to provide
information regarding FSIS policies,
procedures, regulations, Federal
Register notices, FSIS public meetings,
and other types of information that
could affect or would be of interest to
our constituents and stakeholders. The
Constituent Update is available on the
FSIS web page. Through the web page,
FSIS is able to provide information to a
much broader, more diverse audience.
In addition, FSIS offers an email
subscription service which provides
automatic and customized access to
selected food safety news and
information. This service is available at:
https://www.fsis.usda.gov/subscribe.
Options range from recalls to export
information, regulations, directives, and
notices. Customers can add or delete
subscriptions themselves and have the
option to password protect their
accounts.
Paul Kiecker,
Administrator.
[FR Doc. 2024–09393 Filed 4–30–24; 8:45 am]
BILLING CODE 3410–DM–P
DEPARTMENT OF AGRICULTURE
Natural Resources Conservation
Service
[Docket ID: NRCS–2024–0007]
Urban Agriculture and Innovative
Production Advisory Committee
Natural Resources
Conservation Service, United States
Department of Agriculture.
ACTION: Notice to solicit nominees.
AGENCY:
The Department of
Agriculture’s (USDA) Office of Urban
Agriculture and Innovative Production
(OUAIP) is seeking nominations for
individuals to serve on the Urban
Agriculture and Innovative Production
Advisory Committee (UAIPAC). The
UAIPAC advises the Secretary of
Agriculture on the development of
policies and outreach relating to urban,
indoor, and other emerging agricultural
production practices. The 12 members
appointed by the Secretary of
Agriculture are expected to serve a 3year term. The nomination period
SUMMARY:
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35053
includes four vacancies, including the:
urban producer representative; higher
education or extension program
representative; business and economic
development representative; and
representative with related experience
in urban, indoor, and other emerging
agriculture production practices.
DATES: USDA will consider nominations
received via email or postmarked by
July 1, 2024.
ADDRESSES: Please send nominations via
email to: UrbanAgricultureFederal
AdvisoryCommittee@usda.gov. Email is
the preferred method for sending
nominations; alternatively, nominations
can be mailed to Brian Guse, Director of
the Office of Urban Agriculture and
Innovative Production, Department of
Agriculture, 1400 Independence Avenue
SW, Room 4083, Washington, DC 20250.
FOR FURTHER INFORMATION CONTACT:
Markus Holliday, Coordinator, Office of
Urban Agriculture and Innovative
Production; telephone: (301) 974–1287;
email: UrbanAgricultureFederal
AdvisoryCommitee@usda.gov.
Individuals who require alternative
means for communication may contact
the USDA TARGET Center at (202) 720–
2600 (voice and text telephone (TTY)) or
dial 711 for Telecommunications Relay
service (both voice and text telephone
users can initiate this call from any
telephone).
SUPPLEMENTARY INFORMATION:
UAIPAC Overview and Membership
Section 222 of the Department of
Agriculture Reorganization Act of 1994,
as amended, by section 12302 of the
2018 Farm Bill (7 U.S.C. 6923; Pub. L.
115–334), directed the Secretary of
Agriculture to establish an ‘‘Urban
Agriculture and Innovative Production
Advisory Committee’’ to advise the
Secretary on any aspect of section 222,
including the development of policies
and outreach relating to urban, indoor,
and other emerging agricultural
production practices as well as identify
any barriers to urban agriculture.
UAIPAC will host public meetings to
deliberate on recommendations for the
Secretary of Agriculture. These
recommendations provide advice to the
Secretary on supporting urban
agriculture and innovative production
through USDA’s programs and services.
For additional background and member
information visit the UAIPAC website at
https://www.usda.gov/partnerships/
federal-advisory-committee-urban-ag.
The UAIPAC consists of 12 members
including:
• 4 representatives who are
agriculture producers including 2
individuals who are located in an urban
E:\FR\FM\01MYN1.SGM
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Agencies
[Federal Register Volume 89, Number 85 (Wednesday, May 1, 2024)]
[Notices]
[Pages 35033-35053]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2024-09393]
========================================================================
Notices
Federal Register
________________________________________________________________________
This section of the FEDERAL REGISTER contains documents other than rules
or proposed rules that are applicable to the public. Notices of hearings
and investigations, committee meetings, agency decisions and rulings,
delegations of authority, filing of petitions and applications and agency
statements of organization and functions are examples of documents
appearing in this section.
========================================================================
Federal Register / Vol. 89, No. 85 / Wednesday, May 1, 2024 /
Notices
[[Page 35033]]
DEPARTMENT OF AGRICULTURE
Food Safety and Inspection Service
[Docket No. FSIS-2022-0013]
Salmonella Not Ready-To-Eat Breaded Stuffed Chicken Products
AGENCY: Food Safety and Inspection Service (FSIS), U.S. Department of
Agriculture (USDA).
ACTION: Final determination and response to comments.
-----------------------------------------------------------------------
SUMMARY: FSIS is announcing its final determination that not ready-to-
eat (NRTE) breaded stuffed chicken products that contain Salmonella at
levels of 1 Colony Forming Unit per gram (hereinafter, ``1 CFU/g'') or
higher are adulterated within the meaning of the Poultry Products
Inspection Act (PPIA). FSIS is also announcing that it intends to carry
out verification procedures, including sampling and testing of the raw
incoming chicken components used to produce NRTE breaded stuffed
chicken products prior to stuffing and breading.
DATES: This final determination will be effective on May 1, 2025.
FOR FURTHER INFORMATION CONTACT: Rachel Edelstein, Assistant
Administrator, Office of Policy and Program Development, FSIS, USDA;
Telephone: (202) 205-0495.
SUPPLEMENTARY INFORMATION:
Table of Contents
I. Background
II. Summary of Comments and Reponses
A. FSIS' Legal Authority and Adulteration Under the PPIA
B. Need for the Proposed Action
C. Definition of NRTE Breaded Stuffed Chicken Products
D. Food Emergency Response Network Survey
E. Outbreak Data
F. Salmonella Framework
G. Wait for Additional Information
H. Infectious Dose
I. Virulence
J. Consumer Behavior
K. Laboratory Methods
L. Verification Sampling
M. Implementation Date
N. Cost Benefit Analysis
O. Additional Action
P. Alternatives to the Proposed Action
III. Implementation
A. Hazard Analysis and Critical Control Point (HACCP)
Reassessment
B. Implementation and Status of Laboratory Methods
C. Sampled Lot
D. State Programs and Foreign Government Programs
IV. Anticipated Costs and Benefits of This Final Determination
V. USDA Non-Discrimination Statement
VI. Additional Public Notification
I. Background
On April 28, 2023, FSIS published a proposed determination (88 FR
26249) in which the Agency tentatively declared that NRTE breaded
stuffed chicken products contaminated with Salmonella at levels at or
above 1 CFU/g present a significant public health concern. This
proposed determination emphasized risks that are particular to these
products, given their unique characteristics. Specifically, data from
outbreak investigations, as well as consumer behavior research studies,
show that common consumer preparation practices associated with these
products may not destroy Salmonella that may be present in the product.
Information from consumer behavior research discussed in the proposed
determination (88 FR 26257) also shows that common consumer handling of
NRTE breaded stuffed chicken products may contribute to cross-
contamination. Further, the proposed determination noted that
Salmonella has been associated with severe and debilitating human
illness and available data suggest that the Salmonella infectious dose
can be relatively low (88 FR 26261-26264). In addition, outbreak data
cited in the proposed determination indicates that NRTE breaded stuffed
chicken products have been consistently and disproportionately
associated with Salmonella illness outbreaks over the years (88 FR
26252-26259). Based on the information discussed in the proposed
determination, FSIS tentatively concluded that previous efforts to
mitigate the public health concerns associated with these products,
which primarily focused on product labeling and outreach to inform
consumers that these products are raw and how to prepare them safely,
have failed to adequately ensure that consumer preparation of NRTE
breaded stuffed chicken products will result in a product that does not
contain Salmonella at levels sufficient to cause a high risk of human
illness when consumed. As such, FSIS tentatively determined that the
appropriate response to protect public health is to ensure that NRTE
breaded stuffed chicken products contaminated with Salmonella at levels
more likely to cause human illness are excluded from commerce (88 FR
26264).
FSIS specifically proposed to declare that NRTE breaded stuffed
chicken products contaminated with Salmonella at levels of 1 CFU/g or
above as adulterated under the PPIA. As discussed in the proposal, FSIS
tentatively concluded that when present in NRTE breaded stuffed chicken
products, Salmonella at 1 CFU/g or higher meets the definition of an
``added substance'' that ``may render'' them injurious to health
pursuant to 21 U.S.C. 453(g)(1) (88 FR 26260-26261). The proposal
further explained that FSIS also believes that NRTE breaded stuffed
chicken products that contain Salmonella at 1 CFU/g or higher meets the
more stringent ``ordinarily injurious'' standard under 21 U.S.C.
453(g)(1) (88 FR 26261). Moreover, the proposed determination
tentatively concluded that such products are adulterated under 21
U.S.C. 453(g)(3) because their elevated risk of illness makes them ``.
. . unsound, unhealthful, unwholesome, or otherwise unfit for human
food'' (88 FR 26261).
After reviewing comments on the proposed determination, FSIS is
finalizing the determination as proposed, with one exception. Based on
public comments, FSIS has decided to modify the verification sampling
location originally proposed to provide greater flexibility and reduce
costs to industry. Specifically, instead of collecting samples after
the establishment has completed all processes needed to prepare the
chicken component to be stuffed and breaded to produce a final NRTE
breaded stuffed chicken product, as was proposed, FSIS will collect
verification samples on the raw incoming chicken components. FSIS is
also clarifying that
[[Page 35034]]
establishments may incorporate raw chicken components sampled by FSIS
into finished NRTE breaded stuffed chicken products so long as such
products remain under the establishments' control pending test results.
FSIS is also clarifying, as requested by commenters, that it does not
intend to begin FSIS sampling and verification testing discussed in
this determination until May 1, 2025. In addition, FSIS has considered
the economic effects of this determination and has updated the final
Cost Benefit Analysis (CBA) in response to public comments.
II. Summary of Comments and Reponses
FSIS received 3,386 comments on the proposed determination from
individuals, a laboratory services business, an association
representing the entire food industry, research institutes associated
with the meat and frozen foods industries, a society of meat industry
professionals, an animal welfare advocacy organization, trade
associations representing the poultry products industry, members of the
meat and poultry industry, and consumer advocacy organizations.
A summary of issues raised by commenters and the Agency's responses
follows.
A. FSIS' Legal Authority and Adulteration Under the PPIA
Comment: A trade association representing the poultry industry
asserted that FSIS does not have Congressional authorization to take
the actions discussed in the proposed determination. Poultry products
trade associations, members of the poultry products industry, a society
of meat industry professionals, and an institute representing the
interests of the meat industry asserted that FSIS' determination that
Salmonella is an added substance in NRTE breaded stuffed chicken
pursuant to 21 U.S.C. 453(g)(1) is inconsistent with legal precedent,
which holds that a substance is only ``added'' if it is artificially
introduced by a person.\1\ A poultry products trade association and an
institute representing the meat industry asserted that FSIS does not
have a legal basis to declare that any level of Salmonella ordinarily
renders NRTE breaded stuffed chicken injurious to health under 21
U.S.C. 453(g)(1), given the courts have previously determined that
consumers prepare raw chicken in a manner that destroys Salmonella.\2\
---------------------------------------------------------------------------
\1\ United States v. Anderson Seafoods, Inc., 622 F.2d 157 (5th
Cir. 1980). United States v. Coca Cola, 241 U.S. 265 (1915).
\2\ Texas Food Industry Association v. Espy, 870 F. Supp. 143,
149 (W.D. Tex. 1994). American Public Health Association v. Butz,
511 F.2d 331, 334 (D.C. Cir. 1974). Supreme Beef Processors, Inc. v.
USDA, 275 F.3d 432, 438-39 (5th Cir. 2001). See also, e.g., Starr
Surplus Lines Ins. Co. v. Mountaire Farms Inc., 920 F.3d 111, 117
(1st Cir. 2019). (``[T]he mere fact of the FSIS-orchestrated recall
does not give rise to the plausible inference that the type of
Salmonella found . . . could not be eliminated by proper
cooking.''); Craten v. Foster Poultry Farms Inc., 305 F. Supp.3d
1051, 1058 (D. Ariz. 2018) (observing that existing case law
``suggests Salmonella is not an adulterant'' and rejecting several
state law tort claims because Salmonella ``is killed through proper
cooking, which is how raw chicken products are intended to be
used'').
---------------------------------------------------------------------------
On the other hand, consumer advocacy organizations agreed with the
Agency's tentative conclusion that Salmonella is an added substance in
NRTE breaded stuffed chicken and is thus subject to the ``may render
injurious'' standard. The commenters also agreed with FSIS' tentative
conclusion that NRTE breaded stuffed chicken products that contain
Salmonella at 1 CFU/g or higher meet the more stringent ``ordinarily
injurious'' standard, because ordinary consumer handling and
preparation preserves levels in the end product that result in illness.
Response: The PPIA provides FSIS with the authority to regulate
poultry to ensure that adulterated products do not enter commerce.\3\
Furthermore, Congress, at 21 U.S.C. 453(g)(1), declared two standards
for determining whether a product is adulterated. First, if a substance
is an ``added substance'' the product is adulterated if the substance
may render the product injurious to health. Second, if the substance is
not added, the product is adulterated if the quantity of such substance
in or on the product ordinarily renders it injurious to health.
---------------------------------------------------------------------------
\3\ 21 U.S.C. 451 and 452.
---------------------------------------------------------------------------
As discussed in the proposed determination (88 FR 26250-26251),
this is not the first time that FSIS has exercised its authority to
designate a foodborne pathogen as an adulterant in a raw product. In
September 1994, FSIS stated that it considered raw ground beef
contaminated with Escherichia coli O157:H7 (E. coli O157:H7) to be
adulterated within the meaning of an identical adulteration provision
in the Federal Meat Inspection Act (FMIA; 21 U.S.C. 601(m)), and that
the Agency was prepared to use the enforcement provisions of that
statute to exclude adulterated product from commerce. At the same time,
FSIS indicated that it would begin to sample raw ground beef at
federally regulated establishments and in commerce.\4\ Shortly after
the 1994 decision, a group of supermarket and meat industry
organizations filed suit in the U.S. District Court for the Western
District of Texas to reverse FSIS' determination, arguing the Agency
exceeded its statutory authority by declaring E. coli O157:H7 to be an
adulterant under the FMIA. The court ruled in favor of FSIS.\5\ The
Agency then updated its policy in 1999, declaring E. coli O157:H7 to
also be an adulterant of intact beef cuts that are to be further
processed into nonintact raw products before being distributed for
consumption. In 2011, FSIS declared that six additional Shiga Toxin-
Producing Escherichia coli (STEC) serogroups (O26, O45, O103, O111,
O121, and O145) are adulterants of raw non-intact beef products and raw
intact beef components intended to be used in these products.\6\
---------------------------------------------------------------------------
\4\ Michael R. Taylor, FSIS Administrator. September 29, 1994.
``Change and Opportunity to Improve the Safety of the Food Supply.''
Speech to American Meat Institute Annual Convention, San Francisco,
CA.
\5\ See Texas Food Industry Association v. Espy, 870 F. Supp.
143 (1994).
\6\ 76 FR 58157, Sept. 20, 2011.
---------------------------------------------------------------------------
FSIS is now taking similar action, declaring Salmonella to be an
adulterant in NRTE breaded stuffed chicken when present at levels at or
above 1 CFU/g. FSIS based this decision on the best available science
and data using similar criteria as in its 1994, 1999, and 2011 STEC
policymaking. This determination, like the STEC determinations, is
within the scope of the Agency's statutory authority.
The adulteration definition in 21 U.S.C. 453(g)(1) includes two
standards for determining whether a product is adulterated. Under 21
U.S.C. 453(g)(1), if a substance is an ``added substance'' the product
is adulterated if the substance ``may render'' the product injurious to
health. If the substance is not added, the product is adulterated ``if
the quantity of such substance in or on'' the product ``ordinarily''
renders it injurious to health.
FSIS has determined that when present in NRTE breaded stuffed
chicken products, Salmonella at 1 CFU per gram or higher meets the
definition of an ``added substance'' that ``may render'' these products
injurious to health. As discussed in the proposed determination (88 FR
26260-26261) and herein, (processing can add Salmonella to previously
uncontaminated NRTE breaded stuffed chicken components and may increase
the occurrence of Salmonella throughout the finished product overall.
As such, some portion of Salmonella present in the NRTE
[[Page 35035]]
breaded stuffed chicken products has been introduced by humans.
While no court has addressed whether Salmonella in processed
poultry products is an ``added substance'' under the PPIA, FSIS'
determination that Salmonella at 1 CFU/g is an added substance in NRTE
breaded stuffed chicken is consistent with the holding in United States
v. Anderson Seafoods (622 F.2d 157 (1980)). The issue directly before
the court in U.S. v. Anderson Seafoods was the meaning of the term
``added substance'' as used in an adulteration provision of the Federal
Food, Drug, and Cosmetic Act (FFDCA), which, in relevant parts, is
identical to the ``added substance'' provision in the
PPIA.7 8 U.S. v. Anderson Seafoods involved hazardous levels
of mercury in swordfish. Specifically, the issue before the court was
whether all mercury in the fish should be considered an ``added
substance'' under the adulteration provisions of the FFDCA and thus
subject to the ``may render injurious standard'' when some mercury in
swordfish occurs naturally and some is the result of man-made
pollution. After considering the legislative history and relevant case
law, the court found that the term ``added,'' as used in the FFDCA,
means ``artificially introduced, or attributable in some degree to the
acts of man.'' \9\ The court also held that the ``may render it
injurious to health'' standard applies to the food, not to the added
substance and, therefore, ``where some portion of a toxin present in a
food has been introduced by [humans], the entirety of that substance
present in the food will be treated as an added substance.'' \10\
---------------------------------------------------------------------------
\7\ The definition in the FFDCA provides that ``A food shall be
deemed to be adulterated (a)(1) if it bears or contains any
poisonous or deleterious substance which may render it injurious to
health; but in case the substance is not an added substance such
food shall not be considered adulterated under this clause if the
quantity of such substance in such food does not ordinarily render
it injurious to health'' (21 U.S.C. s 342(a)(1)).
\8\ While the PPIA defines the circumstances in which a poultry
product may be adulterated, FSIS has referred to the FFDCA as a
substantially similar statute to further elucidate the meaning that
terms are given in a similar provision. See, e.g., FSIS final
response to petition #12-02, Petition to Require Labeling of All
Ritually Slaughtered Meat and Poultry (Jan 1, 2012) p. 2. Available
at: https://www.fsis.usda.gov/federal-register/petitions/petition-require-labeling-all-ritually-slaughtered-meat-and-poultry.
\9\ United States v. Anderson Seafoods, Inc622 F.2d 157, 160
(citing United States v. Coca Cola, 241 U.S. 265 (1915)).
\10\ United States v. Anderson Seafoods, Inc622 F.2d 157, 161.
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As discussed in the proposed determination (88 FR 26260-26261) and
herein, processing can add Salmonella to previously uncontaminated NRTE
breaded stuffed chicken components and may increase the occurrence of
Salmonella throughout the finished product overall. As such, some
portion of Salmonella present in the NRTE breaded stuffed chicken
products has been introduced by man and, in accordance with the holding
in Anderson Seafoods, all Salmonella in this product should be treated
as an ``added substance'' and may be regulated under the PPIA's ``may
render injurious'' standard.
In addition, FSIS' believes that Salmonella at 1 CFU/g in NRTE
breaded stuffed chicken meets the more stringent ``ordinarily injurious
to health'' standard for substances that are not added, satisfying the
definition of ``adulterated'' under 21 U.S.C. 453(g)(1). This
determination also does not conflict with legal precedent. The Agency
recognizes that, historically, most foodborne pathogens, including
Salmonella, have not been considered adulterants of raw and other NRTE
meat and poultry based on the assumption that ordinary cooking is
generally sufficient to destroy the pathogens.
However, NRTE breaded stuffed chicken products are NRTE multi-
ingredient, further processed products that often contain multiple raw
poultry source materials and are heat treated in a manner that
typically imparts an RTE appearance. As noted in the proposed
determination (88 FR 26249), consumer research, together with
information gathered during outbreak investigations, clearly show that,
because of these unique product characteristics, which make these
products particularly risky, consumers often do not prepare these
products properly, even when the products display adequate cooking
instructions and statements on the label. FSIS is not aware of any
court that has analyzed the status of Salmonella as an adulterant in
NRTE breaded stuffed chicken products, giving due weight to the
products' unique characteristics, consumer behaviors, public health
risks associated with these products, or the most recent science and
data concerning Salmonella in NRTE breaded stuffed chicken products.
Comment: A group of consumer advocacy organizations agreed with
FSIS' position and reasoning in the proposed determination that
Salmonella is an added substance pursuant to 21 U.S.C. 453(g)(1) in
NRTE breaded stuffed chicken products. However, poultry products trade
associations, members of the poultry products industry, a society of
meat industry professionals, and an institute representing the
interests of the meat industry disagreed with FSIS' determination,
arguing that Salmonella exists naturally in chicken, and provided
studies that they assert show that Salmonella exists naturally in
muscle tissue.11 12 13 14 These commenters also stated that
FSIS did not adequately support its view that cross-contamination
during further processing is responsible for the presence of Salmonella
in chicken components used to create NRTE breaded stuffed chicken
products.
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\11\ Rimet, C.S., Maurer, J.J., Pickler, L., Stabler, L.,
Johnson, K.K., Berghaus, R.D., . . . & Fran[ccedil]a, M. (2019).
Salmonella harborage sites in infected poultry that may contribute
to contamination of ground meat. Frontiers in Sustainable Food
Systems, 3, 2.
\12\ Angela Cook et al., Campylobacter, Salmonella, Listeria
monocytogenes, Verotoxigenic Escherichia coli, and Escherichia coli
Prevalence, Enumeration, and Subtypes on Retail Chicken Breasts with
and without Skin, 75(1) J. Food Protection 34-40 (Jan. 2012).
\13\ Husnu Sahan Guran et al., Salmonella prevalence associated
with chicken parts with and without skin from retail establishments
in Atlanta metropolitan area, Georgia, 73(B) Food Control 462-67
(Mar. 2017).
\14\ A. Pointon et al., A Baseline Survey of the Microbiological
Quality of Chicken Portions and Carcasses at Retail in Two
Australian States (2005 to 2006), 71(6) J. Food Protection 1123-34
(Jun. 2008).
---------------------------------------------------------------------------
Response: In the proposed determination, FSIS specifically
evaluated whether Salmonella should be considered an added substance in
NRTE breaded stuffed chicken (88 FR 26260-26261). Although FSIS agrees
with the commenters that Salmonella naturally exists in certain parts
of poultry before processing, such as the skin, livers, feather
follicles, and bones, the Agency noted that Salmonella is not
ordinarily found in the muscle tissue of healthy birds. NRTE breaded
stuffed chicken products contain raw, comminuted chicken breast meat,
trim, or whole chicken breast meat (i.e., further processed chicken
parts or comminuted chicken). FSIS sampling data has shown that further
processed chicken parts (legs, breasts, and wings) and comminuted
chicken have a higher occurrence of Salmonella positive results
compared to carcasses.15 16
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\15\ Sampling Results for FSIS-Regulated Products. Available at:
https://www.fsis.usda.gov/science-data/sampling-program/sampling-results-fsis-regulated-products.
\16\ USDA FSIS Annual Sampling Summary Report 2022. Available
at: https://www.fsis.usda.gov/sites/default/files/media_file/documents/FY2022-Sampling-Summary-Report.pdf.
---------------------------------------------------------------------------
As FSIS noted in the proposed determination (88 FR 26260), these
sampling data indicate that, during processing, Salmonella that is
regularly present in certain parts of the bird is added to the interior
of edible poultry muscle tissue, where Salmonella is not ordinarily
found. The proposed
[[Page 35036]]
determination cited several instances of how such cross-contamination
could occur (88 FR 62260). For one, when poultry is cut, Salmonella in
the skin and feather follicles can be exposed and spread during
processing to previously uncontaminated product. 17 18 19
Additionally, many NRTE breaded stuffed chicken products are made with
comminuted chicken. Because of the nature of comminution, Salmonella
contamination in chicken skin and bone can spread throughout an entire
batch or lot through cross-contamination. FSIS sampling data show that
ground and other raw comminuted chicken products that were produced
using either bone-in or skin-on source materials were more likely to be
contaminated with Salmonella than those fabricated from deboned,
skinless source materials.\20\ In addition, Salmonella-negative raw
poultry parts and comminuted poultry may become cross-contaminated by
contact with Salmonella-contaminated equipment or when they are
commingled with Salmonella-positive products, such as when they are
collected in combo bins for further processing.21 22
Salmonella-contaminated equipment used to incorporate the stuffed
ingredients into the chicken component of NRTE breaded stuffed chicken
products may also contribute to Salmonella contamination in these
products. For these reasons, FSIS considers Salmonella an added
substance in NRTE breaded and stuffed chicken products. It is important
to note that the determination that Salmonella is an added substance in
NRTE breaded and stuffed chicken products is based on the circumstances
under which these particular products are fabricated and processed and
that FSIS has not made a determination about whether Salmonella is an
added substance in any other raw poultry products. FSIS will address
the status of Salmonella in other raw poultry products in a subsequent
rulemaking proceeding after considering the comments received in that
proceeding.
---------------------------------------------------------------------------
\17\ Kim J-W and Slavik MF. 1996. Cetylpyridinium Chloride (CPC)
treatment on poultry skin to reduce attached Salmonella. J. Food
Prot. 59: 322-326.
\18\ Wu D, Alali WQ, Harrison MA, and Hofacre CL. 2014.
Prevalence of Salmonella in neck skin and bone of chickens. J Food
Prot. 77(7): 1193-1197.
\19\ FSIS Guidance for Controlling Salmonella in Raw Poultry
(June 2021) pp. 59-60. Available at: https://www.fsis.usda.gov/guidelines/2021-0005.
\20\ FSIS Guidance for Controlling Salmonella in Raw Poultry
(June 2021) pp. 65-66, Table 4 FSIS exploratory sampling test
results, raw comminuted chicken by source material composition (6/1/
13-6/30/15, 2,688 samples. Available at: https://www.fsis.usda.gov/guidelines/2021-0005.
\21\ FSIS Guidance for Controlling Salmonella in Raw Poultry
(June 2021) pp. 59. Available at: https://www.fsis.usda.gov/guidelines/2021-0005.
\22\ Codex Guideline for the Control of Campylobacter and
Salmonella in Chicken Meat at https://www.fao.org/fao-who-codexalimentarius/sh-proxy/en/?lnk=1&url=https%253A%252F%252Fworkspace.fao.org%252Fsites%252Fcodex%252FStandards%252FCXG%2B78-2011%252FCXG_078e.pdf.
---------------------------------------------------------------------------
Industry commenters provided a study in which researchers tested
poultry muscle tissue for the presence of Salmonella.\23\ However, the
study was not sensitive enough to draw the conclusion that Salmonella
at 1 CFU/g or higher is ordinarily present in such tissue. In the
study, 1-day old chicks were deliberately inoculated with highly
pathogenic Salmonella before development of healthy gut microflora.
Thus, the initial load of Salmonella in the tested birds was not
necessarily representative of the pathogen levels ordinarily present in
farm-raised poultry.\24\ Moreover, the study had a very small sample
size and, in the end, only one out of five muscle tissue samples
collected from 42-day old birds were positive for the Salmonella
serotypes tested.\25\ Thus, this study does not serve as demonstrable
evidence that Salmonella is ordinarily present in the muscle tissue of
farm-raised poultry. In fact, the study concluded that the high
prevalence of Salmonella in the skin of infected poultry significantly
contributes to contamination of ground chicken and turkey and suggested
that the exclusion of skin as a component of ground poultry may be the
best option for reducing Salmonella contamination in ground poultry
products. This finding, therefore, supports FSIS' position that,
amongst other things, Salmonella contaminated chicken skin
substantively contributes to the spread of the pathogen in NRTE breaded
stuffed chicken products, including to components that do not
ordinarily contain Salmonella.
---------------------------------------------------------------------------
\23\ Rimet, C.S., Maurer, J.J., Pickler, L., Stabler, L.,
Johnson, K.K., Berghaus, R.D., . . . & Fran[ccedil]a, M. (2019).
Salmonella harborage sites in infected poultry that may contribute
to contamination of ground meat. Frontiers in Sustainable Food
Systems, 3, 2.
\24\ FSIS notes that--for farm raised birds--there are many
options to eliminate or reduce the Salmonella contamination,
including pre-harvest food safety control measures. Elimination
efforts can include rearing and management practices, pre and
probiotic use, antimicrobial therapy, and/or vaccination of birds.
See, e.g., Foley, S.L., Nayak, R., Hanning, I.B., Johnson, T.J.,
Han, J., & Ricke, S.C. (2011). Population dynamics of Salmonella
enterica serotypes in commercial egg and poultry production. Applied
and environmental microbiology, 77(13), 4273-4279.
\25\ Forty-two days is the approximate age when broilers are
slaughtered. FSIS also notes that in the four weeks prior, only one
sample in the study tested positive for either serotype and only
after enrichment.
---------------------------------------------------------------------------
Industry also cites three other papers they say show that
Salmonella prevalence is the same in skin-on and skin-off
chicken.26 27 28 The commenters assert these studies prove
that Salmonella naturally occurs in poultry muscle tissue. However,
these papers show variable results for Salmonella detection in skin-off
versus skin-on chicken.22-24 Two studies, Cook 2012 and
Pointon 2008, showed similar rates of Salmonella between the skin-on
and skin-off parts using a rinse sampling method. In contrast, the
third study, Guran 2017, showed Salmonella presence in skin-on chicken
parts was significantly higher than in the skin-off parts with 44.7% vs
12.3% positive for chicken breast and 40.9% vs 22.8% positive for
chicken thighs when samples were mixed by stomaching.\23\ The variable
results from the studies discussed could be due to methodology
differences. Researchers have noted that rinse sampling methods may not
recover Salmonella that are firmly attached to the skin or trapped
within skin folds and feather follicles, while vigorous mixing using a
stomacher may release attached Salmonella therefore increasing
detection.29 30 A study by Wu 2014 supports this, showing
rinsed skin samples recovered significantly less Salmonella than skin
that was stomached (2.3 vs. 20.7%).\31\
---------------------------------------------------------------------------
\26\ Angela Cook et al., Campylobacter, Salmonella, Listeria
monocytogenes, Verotoxigenic Escherichia coli, and Escherichia coli
Prevalence, Enumeration, and Subtypes on Retail Chicken Breasts with
and without Skin, 75(1) J. Food Protection 34-40 (Jan. 2012).
\27\ Husnu Sahan Guran et al., Salmonella prevalence associated
with chicken parts with and without skin from retail establishments
in Atlanta metropolitan area, Georgia, 73(B) Food Control 462-67
(Mar. 2017).
\28\ A. Pointon et al., A Baseline Survey of the Microbiological
Quality of Chicken Portions and Carcasses at Retail in Two
Australian States (2005 to 2006), 71(6) J. Food Protection 1123-34
(Jun. 2008).
\29\ Wu D, Alali WQ, Harrison MA, and Hofacre CL. 2014.
Prevalence of Salmonella in neck skin and bone of chickens. J Food
Prot. 77(7): 1193-1197.
\30\ Husnu Sahan Guran et al., Salmonella prevalence associated
with chicken parts with and without skin from retail establishments
in Atlanta metropolitan area, Georgia, 73(B) Food Control 462-67
(Mar. 2017).
\31\ Wu D, Alali WQ, Harrison MA, and Hofacre CL. 2014.
Prevalence of Salmonella in neck skin and bone of chickens. J Food
Prot. 77(7): 1193-1197.
---------------------------------------------------------------------------
At an industry level, poultry skin is a known source of Salmonella
contamination due to bacteria being trapped in the skin folds and
feather follicles.\32\ These areas may not be accessible until they are
disturbed
[[Page 35037]]
during cutting or grinding. When this processing exposes and releases
the pathogen, it can spread, resulting in higher contamination levels
in the product. FSIS sampling data clearly indicates Salmonella poultry
rates rise as poultry is further processed, from chicken carcasses at
4.14% to legs, breasts, wings at 7.62% to comminuted at 24.2%.\33\ This
is a pattern FSIS has observed yearly and based on more than 25,000
samples analyzed in FY2022 alone.\34\
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\32\ FSIS Guidance for Controlling Salmonella in Raw Poultry
(June 2021). Available at: https://www.fsis.usda.gov/guidelines/2021-0005.
\33\ USDA FSIS Annual Sampling Summary Report 2022. Available
at: https://www.fsis.usda.gov/sites/default/files/media_file/documents/FY2022-Sampling-Summary-Report.pdf
\34\ Moreover, national prevalence data from chicken parts
baseline sampling indicate that skin-on parts were more likely to be
positive for Salmonella than parts without skin. See The Nationwide
Microbiological Baseline Data Collection Program: Raw Chicken Parts
Survey (2012), available at: https://www.fsis.usda.gov/sites/default/files/media_file/2020-07/Baseline_Data_Raw_Chicken_Parts.pdf.
---------------------------------------------------------------------------
Comment: A few commenters, including trade associations
representing the poultry products and frozen foods industries, asserted
that the evidence cited in the proposed determination does not indicate
that NRTE breaded stuffed chicken products contaminated with Salmonella
are ordinarily injurious to health. First, they argued that the
outbreak data cited does not indicate that the products have harmed a
substantial amount of people. They also argued that outbreak
investigations do not indicate that consumers ordinarily prepare NRTE
breaded stuffed chicken in a manner that renders them unsafe to eat.
Response: NRTE breaded stuffed chicken products pose a substantive
risk to public health. The data available show that NRTE breaded
stuffed chicken products are inherently risky, given their unique
characteristics, and have a disparate impact on public health.
Specifically, as noted above and in the proposed determination (88 FR
26252), an analysis of all chicken associated outbreaks identified in
the Centers for Disease Control and Prevention's (CDC) National
Outbreak Reporting System (NORS) \35\ or in the scientific literature
from 1998-2020 found that, during this time, NRTE breaded stuffed
chicken products accounted for less than 0.15 percent of the total
domestic chicken supply yet represented approximately five percent of
all chicken-associated Salmonella outbreaks in the United States.
Specifically, although NRTE breaded stuffed chicken products make up a
very small percentage of the total domestic supply of chicken, they
have been associated with 14 Salmonella outbreaks between 1998 and
2021, resulting in 195 reported illnesses and 41 reported
hospitalizations (88 FR 26258-26259). The actual number of cases is
likely higher than the number of reported cases.\36\
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\35\ CDC National Outbreak Reporting System available at:
https://www.cdc.gov/nors/.
\36\ Scallan, et al. 2011; Mead, P.S., et al., Food related
illnesses and deaths in the United States. Emerging Infect Dis,
Oct1999. 5(5) p. 607-625.
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As discussed in the proposed determination (88 FR 26263),
Salmonella can cause bloody diarrhea, fever, abdominal cramps, nausea,
and vomiting. In some instances, Salmonella enters the blood and makes
its way to other areas of the body including, but not limited to, the
heart, lung, bone, joints, and the central nervous system.\37\ This can
result in severe illness requiring hospitalizations and even death,
especially in vulnerable populations, such as very young, elderly, and
immunocompromised individuals. Even when Salmonella is no longer
detectable in the body, prior Salmonella illness has also been
associated with an increased risk in colon cancer and can cause
debilitating, long-lasting conditions including inflammatory bowel
disease, irritable bowel syndrome and reactive arthritis.\38\
---------------------------------------------------------------------------
\37\ Batz, M.B., et al., Long-Term consequences of foodborne
illness. Infect Dis Clin North Am, Sept 2013. 28(3) p. 599-661;
Hohmann, E.L., Nontyphoidal Salmonellosis, Clin Infect Dis, Sept
2001. 32 p. 263-269; Heymann, D. Salmonellosis. Control of
Communicable Disease Manual, 2021.
\38\ Mughini-Gras, L. et al. Increased colon cancer risk after
severe Salmonella infection. PLoS ONE, 2018. 13(1): p. 1-19. https://doi.org/10.1371/journal.pone.0189721.
---------------------------------------------------------------------------
Comment: A few poultry products trade associations stated that the
proposed determination did not explain or support why Salmonella,
particularly at 1 CFU/g, would render a NRTE breaded stuffed chicken
product adulterated under 21 U.S.C. 453(g)(3).
Response: Under 21 U.S.C. 601(m)(3) of the FMIA and 21 U.S.C.
453(g)(3) of the PPIA, a meat or poultry product is adulterated ``if it
consists in whole or in part of any filthy, putrid, or decomposed
substance or is for any other reason unsound, unhealthful, unwholesome,
or otherwise unfit for human food.'' Historically, FSIS has interpreted
the phrase ``is for any other reason unsound, unhealthful, unwholesome,
or otherwise unfit for human food'' as providing a separate basis for
adulteration than consists of ``any filthy, putrid, or decomposed
substance.'' Thus, meat or poultry products that FSIS has determined
are ``otherwise unfit for human food'' within the meaning of 21 U.S.C.
601(m)(3) and 21 U.S.C. 453(g)(3) do not also need to consist ``in
whole or in part of any filthy, putrid, or decomposed substance.'' For
example, when raw meat or poultry products are associated with an
illness outbreak but contain pathogens that are not considered
adulterants in raw products, FSIS has found products linked to the
illness outbreak to be adulterated under 21 U.S.C. 601(m)(3) or 21
U.S.C. 453(g)(3) because they are ``unsound, unhealthful, unwholesome
or otherwise unfit for human food'' (77 FR 72689). FSIS has also
determined that certain materials from cattle as well as the carcasses
of non-ambulatory disabled cattle are adulterated because they present
a sufficient risk of exposing humans to the bovine spongiform
encephalopathy agent such as to render them ``unfit for human food''
under 21 U.S.C. 601(m)(3) (69 FR 1862).
As discussed in the proposal (88 FR 26261), FSIS evaluated the
available information on Salmonella associated with human illnesses,
the Salmonella infectious dose, the severity of human illnesses caused
by Salmonella, and consumer preparation practices associated with NRTE
breaded stuffed chicken product as documented in outbreak
investigations associated with these products and consumer behavior
research studies. Based on this evaluation, FSIS concluded that NRTE
breaded stuffed chicken products contaminated with Salmonella at levels
of 1 CFU/g present a sufficiently serious risk of causing Salmonella
illness. Thus, as discussed in the proposed rule, FSIS has determined
that such products are adulterated as defined in 21 U.S.C. 453(g)(3)
because their elevated risk of illness makes them ``unhealthful,
unwholesome, or otherwise unfit for human food'' (82 FR 26261).
B. Need for the Proposed Action
Comment: Many commenters, including an animal welfare organization,
two consumer advocacy groups, and several individuals, stated FSIS'
proposed action is necessary to assure NRTE breaded stuffed chicken
products are safe to eat. However, a few poultry products trade
associations and an institute representing the meat industry asserted
that the proposed determination is not necessary to protect public
health. These commenters specifically asserted the rate of
salmonellosis associated with all chicken products has decreased over
the past ten years. They also stated that public health efforts by the
industry and FSIS have already made NRTE breaded stuffed chicken
products safe to eat.
Response: As discussed throughout the proposed determination (88 FR
[[Page 35038]]
26249), FSIS is specifically targeting Salmonella in NRTE breaded
stuffed chicken products because their unique characteristics make them
particularly risky, and they pose a disparate impact on consumers'
health. There have been 14 recorded outbreaks associated with the
consumption of NRTE breaded stuffed chicken products since 1998, with
the latest outbreak occurring as recently as 2021. Salmonella outbreaks
have been disproportionately associated with NRTE breaded stuffed
chicken products. Specifically, an analysis of all chicken associated
outbreaks identified in the CDC's NORS \39\ and in the scientific
literature from 1998-2020 found that, during this time, NRTE breaded
stuffed chicken products accounted for less than 0.15 percent of the
total domestic chicken supply yet represented approximately five
percent of all chicken-associated outbreaks in the United States (88 FR
26252). Outbreaks associated with these products have continued to
occur regularly despite updated labeling instructions, outreach, and
other industry and Agency efforts to make the products safer and ensure
consumers are aware of how to prepare them (88 FR 26259-26260).
Moreover, data from outbreak investigations and consumer research
discussed in the proposed determination show that many consumers
continue to cook NRTE breaded stuffed chicken products in a manner that
does not adequately destroy Salmonella in these products (88 FR 26252-
26260).
---------------------------------------------------------------------------
\39\ CDC National Outbreak Reporting System available at:
https://www.cdc.gov/nors/.
---------------------------------------------------------------------------
C. Definition of NRTE Breaded Stuffed Chicken Products
Comment: Trade associations and institutes representing the meat
and poultry foods industries asked FSIS to clarify what products are
subject to this final determination and noted that it should not apply
to frozen NRTE products that are not breaded or stuffed, or that appear
raw. A trade association representing the poultry products industry
specifically asserted that the determination should not include NRTE
breaded stuffed chicken products intended for use by hotel, restaurant,
or institutional consumers.
Response: As discussed in the proposed determination (88 FR 26252),
FSIS specifically defines NRTE breaded stuffed chicken products as
those NRTE products that are both breaded and stuffed, contain raw
chicken components (e.g., comminuted chicken breast meat, trim, or
whole chicken breast meat), and where the finished product is heat-
treated only to set the batter or breading on the exterior of the
product, which may impart an RTE appearance. Only products that
specifically meet this definition are subject to the 1 CFU/g or higher
adulteration standard discussed in this final determination. As
discussed in the proposed determination (88 FR 26266--26267) and
herein, FSIS will also conduct verification sampling in federally
regulated establishments that produce such products. Thus, this final
determination does not apply to RTE products (e.g., fully cooked RTE
chicken cordon bleu). In addition, NRTE products that are stuffed and
breaded, but are not ``par-fried,'' ``pre-browned,'' or otherwise heat
treated to only set the batter or breading, are not subject to this
final determination.\40\ This final determination also does not apply
to NRTE stuffed products that are not breaded, such as turducken or
whole stuffed chickens--nor to NRTE breaded products that are not
stuffed, such as chicken nuggets. Under this determination, NRTE
breaded stuffed chicken that contain Salmonella at or above 1 CFU/g
will be considered adulterated even if intended for hotel, restaurant,
or institutional use because, regardless of intended use, NRTE breaded
stuffed chicken products have characteristics that can make effective
cooking of these products more challenging, i.e., they may appear fully
cooked, are typically cooked from a frozen state, and are thicker in
diameter and have a different composition than other par-fried breaded
products (82 FR 26252).
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\40\ For example, if a meat counter at a retail store were to
stuff a chicken breast with cheese and roll it in breadcrumbs, but
not heat treat the product to set the breading, the product would
not be subject to this determination.
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D. Food Emergency Response Network Survey
Comment: A few poultry product trade associations asserted that
they did not have the time or information necessary to respond to the
Food Emergency Response Network (FERN) Survey.\41\ Specifically, these
commenters argued that the Agency published the FERN Survey during the
proposed determination's comment period, leaving inadequate time for
analysis and comment. They also asserted that FSIS never explained why
this survey was relevant or how it supported the proposed
determination.
---------------------------------------------------------------------------
\41\ FSIS, Survey of Not Ready-to-Eat Breaded and Stuffed
Chicken Products for Salmonella, Docket ID No FSIS-2022-0013-0015
(June 2023).
---------------------------------------------------------------------------
A few poultry product trade associations and an institute
representing the meat industry also raised some specific issues with
the FERN Survey. First, they noted that it did not utilize the
laboratory or sampling methods discussed in the proposed determination.
Second, these commenters stated that the samples were not weighted to
reflect relative production volume, they were not geographically
dispersed, and that no statistical analysis was performed on the base
results. The commenters also stated that the study lacked statistical
power, given minimal samples were collected over a short period of
time.
Response: FSIS disagrees with the assertion that the Agency never
explained why the FERN Survey was relevant or how it was used to inform
the proposed determination. The proposed determination discussed the
FERN Survey report in detail (88 FR 26265-26266). FSIS gave the public
adequate time and information to respond to the FERN Survey report.
After release of the FERN Survey report, FSIS extended the proposed
determination's comment period to August 11, 2023, to give the public
more time to review the materials and formulate comments. Furthermore,
the survey's methodology and results--as well as FSIS' analysis--were
discussed in detail in the proposed determination (88 FR 26265-26266),
which published 105 days prior to the close of the comment
period.42 43
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\42\ FSIS Constituent Update--June 23, 2023. Available at:
https://www.fsis.usda.gov/news-events/news-press-releases/constituent-update-june-23-2023.
\43\ FSIS, Survey of Not Ready-to-Eat Breaded and Stuffed
Chicken Products for Salmonella, Docket ID No FSIS-2022-0013-0015
(June 2023).
---------------------------------------------------------------------------
In regard to the specific issues with the FERN Survey raised by
commenters, the FERN Survey report made clear that the data were
derived from convenient sampling of eligible products available to the
participating laboratories and that FSIS made no claims about the
statistical significance of any differences observed \44\ or about how
this survey supports FSIS enumeration methodology. Indeed, FSIS
explained that the survey was intended to collect information on the
positive rate of Salmonella in NRTE breaded stuffed chicken purchased
at retail and differences in testing strategies, which were intended to
help inform the FSIS verification sampling plan resulting from this
determination. The FERN Survey results indicate that the current FSIS
testing methods are acceptable for these products because the FERN labs
[[Page 35039]]
tested samples using the validated methods. The survey was also
conducted to help inform the FSIS sampling and verification testing
resulting from this determination.
---------------------------------------------------------------------------
\44\ Survey of Not Ready-to-Eat Breaded and Stuffed Chicken
Products for Salmonella (usda.gov).
---------------------------------------------------------------------------
As explained in the proposed determination (88 FR 26265), the FERN
Survey gathered data at retail to provide information about the
Salmonella-positive rate of NRTE breaded stuffed chicken products. In
the proposal, FSIS noted that when using FSIS methods and a larger test
portion, the survey found that the 27 percent positive rate for
Salmonella in NRTE breaded stuffed chicken products detected in retail
samples is comparable to the 29 percent positive rate detected in FSIS
sampling of comminuted chicken.\45\ The Agency also noted that these
rates are higher than the Salmonella-positive rates for other raw
chicken products, which suggests that NRTE breaded stuffed chicken
products and comminuted chicken have a higher risk than other raw
chicken. However, as noted in the proposal, consumer preparation
practices are more likely to mitigate the risk associated with
comminuted or ground chicken because, unlike NRTE breaded stuffed
chicken products, ground chicken clearly appears raw and is not
typically cooked from a frozen state (88 FR 26265).
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\45\ USDA Food Safety and Inspection Service Annual Sampling
Report Fiscal Year 2021: https://www.fsis.usda.gov/sites/default/files/media_file/2022-02/FY2021-Sampling-Summary-Report.pdf.
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E. Outbreak Data
Comment: A poultry products trade association argued that FSIS
placed too much emphasis on the duration of outbreaks associated with
NRTE breaded stuffed chicken products to support its decision, noting
that the length of an outbreak is not necessarily related to its
severity. It also asserted that statements gathered during outbreak
investigations are anecdotal and, thus, not adequate to support FSIS'
conclusion that consumers do not safely prepare NRTE breaded stuffed
chicken products. Moreover, the commenter noted that most of the
outbreak investigations FSIS discussed were associated with outdated
product labeling and used antiquated investigational methods.
Response: The outbreak data--together with the other evidence
discussed in the proposed determination (88 FR 26249)--supports the
conclusion that NRTE breaded stuffed chicken products are
disproportionately associated with Salmonella illnesses compared to
other raw poultry products and that, despite industry and Agency
efforts, consumers continue to prepare such products in a manner that
does render them safe to eat. The outbreak investigation findings
discussed in the proposed determination (88 FR 26252-26259) were not
based on anecdotal evidence or antiquated investigational methods. The
findings were based on exposure and food-history information gathered
and analyzed by local, state, and Federal health partners, including
the CDC. These investigations used accepted investigational practices
at the time of the outbreak.
Although FSIS mentioned the length of such outbreaks in the
proposed determination, the Agency judges the severity of such
outbreaks on their overall public health impact, not the length of the
outbreaks. As noted in the proposed determination, despite making up a
very small percentage of the total domestic supply of chicken (88 FR
26252), NRTE breaded stuffed chicken products were associated with 14
Salmonella outbreaks between 1998 and 2021, resulting in 195 reported
illnesses and 41 hospitalizations (88 FR 26258-26259).
F. Salmonella Framework
Comment: A poultry establishment and a poultry products trade
association noted that FSIS has not finished its Salmonella Framework,
which contemplates reviewing FSIS' comprehensive approach to Salmonella
and that, considering this ongoing effort, it is premature to set
specific standards for NRTE breaded stuffed chicken at this time. The
commenters stated that pursuing a separate policy for NRTE breaded
stuffed chicken products risks creating inconsistencies or redundant
policies.
Response: The Agency is confident it can address the persistent
Salmonella outbreaks caused by NRTE breaded stuffed chicken products,
as stated in this notice, and also propose to address illness
associated from Salmonella in raw poultry generally in a future
proposed rule. This will not lead to inconsistent or redundant
policies. FSIS develops food safety requirements based on pathogens,
consumption data, and other food safety factors, which can vary
depending on the product.
For the reasons discussed in the proposed determination, FSIS
believes that NRTE breaded stuffed chicken products pose different
exposure risks to consumers than other types of raw poultry products
and are more likely to result in Salmonella outbreaks than other
products; therefore, FSIS has determined to hold NRTE breaded stuffed
chicken products to a more stringent Salmonella adulteration standard
than for other raw poultry products. FSIS is not delaying its efforts
concerning this product. Consistent with this final determination, as
the Agency develops the proposed Salmonella Framework,\46\ it will
consider measures that will be most effective in addressing the public
health risks associated with other raw poultry products.
---------------------------------------------------------------------------
\46\ FSIS, Proposed Regulatory Framework to Reduce Salmonella
Illnesses Attributable to Poultry, available https://www.fsis.usda.gov/inspection/inspection-programs/inspection-poultry-products/reducing-salmonella-poultry/proposed.
---------------------------------------------------------------------------
G. Wait for Additional Information
Comment: Poultry products trade associations, a poultry products
establishment, and a society of meat industry professionals noted that
FSIS needs to gather more information about Salmonella in NRTE breaded
stuffed chicken products before finalizing this determination.
Specifically, they stated that FSIS needs to gather more data on the
frequency that products currently exceed the 1 CFU/g threshold, whether
enforcing the 1 CFU/g standard would be feasible, and what impact the
proposed determination would have on public health. The commenters
further stated that FSIS needs more insight into which serotypes are
most prevalent in these products, as well as better information
regarding infectious dose and host susceptibility. The commenters said
that FSIS should build a comprehensive microbiological baseline before
moving forward and use that information to conduct a risk assessment.
Response: FSIS has sufficient information to finalize this
determination. As discussed in the proposed determination (88 FR
26249), available data from outbreak investigations and consumer
behavior research show that NRTE breaded stuffed chicken products
contaminated with Salmonella pose a significant public health risk. As
noted in the proposal, these data show that common consumer preparation
practices associated with NRTE breaded stuffed chicken products may not
destroy organisms that may be present in the product and may also
contribute to cross contamination (88 FR 26264). The proposal also
described available data that show Salmonella has been associated with
severe and debilitating human illnesses and that the Salmonella
infectious dose is relatively low (88 FR 26264). Thus, because
Salmonella can survive ordinary handling and cooking practices for NRTE
breaded stuffed chicken products,
[[Page 35040]]
FSIS has determined that the appropriate response to protect public
health is to ensure that products contaminated with Salmonella at
levels more likely to cause human illness are excluded from commerce.
As explained in the proposed determination, assuming a minimum of 0.5
log (68%) Salmonella reduction likely achieved with even partial
cooking, considering a level of Salmonella at 1 CFU/g (assuming a
typical 70-88 gram chicken component portion size) to adulterate
product should significantly mitigate the risk of illness associated
with NRTE breaded stuffed chicken products (88 FR 26263). Additionally,
as discussed in the proposed determination, all Salmonella serotypes
have the potential to cause illness, and the disparity in serotypes may
be related to factors other than serotype-specific differences in human
virulence. Thus, given the unique public health risk associated with
NRTE breaded stuffed chicken products, FSIS has determined that any
Salmonella at levels of 1 CFU/g or higher is an adulterant in these
products. FSIS will continue to evaluate and, if necessary, refine its
policies and standards related to the oversight of NRTE breaded stuffed
chicken products as advances in science and technology related to
pathogen levels, serotypes, and infectious dose become available.
FSIS typically performs baseline studies to estimate the national
prevalence of bacteria of public health concern in situations where a
large number of establishments produce a product and uniform
verification sampling is performed. Here, a baseline study isn't
warranted for NRTE bread stuffed chicken products because there are
currently only six federally regulated establishments producing such
products. Due to the public health risk posed by the product type,
which is supported by recurring Salmonella illness outbreaks, the
Agency decided to move forward with the proposed determination.
H. Infectious Dose
Comment: Poultry products trade associations, a member of the
poultry products industry, and a meat industry research institute
asserted there were several deficiencies in the infectious dose data
FSIS relied on to support its proposed determination that NRTE breaded
stuffed chicken with 1 CFU/g Salmonella are adulterated. Specifically,
the commenters stated that FSIS relied on a single dose-response study
to support the 1 CFU/g proposed determination.\47\ Moreover, commenters
asserted that this study (hereinafter, ``Teunis 2010'') contained
insufficient and outdated data. The commenters, therefore, provided an
updated study by the same author for FSIS' consideration (hereinafter,
``Teunis 2022'').\48\ The commenters also suggested that Salmonella
serotypes used in Teunis 2010 were not representative of the serotypes
that caused NRTE breaded stuffed chicken product outbreaks or are found
in raw chicken.
---------------------------------------------------------------------------
\47\ Teunis P.F. et al., Dose-response modeling of Salmonella
using outbreak data, 144(2) Int. J. Food Microbial 243-9 (2010).
\48\ Peter F.M. Teunis, Dose response for Salmonella Typhimurium
and Enteritidis and other nontyphoid enteric salmonellae, 41
Epidemics (2022).
---------------------------------------------------------------------------
Response: The Agency considered Teunis 2022 along with the evidence
already cited on infectious dose in the proposed determination.
However, upon review, FSIS does not conclude that the updated dose-
response model in Teunis 2022, in consideration with the other evidence
previously cited, warrants a change in the proposed adulterant
threshold of 1 CFU/g of Salmonella in NRTE breaded stuffed chicken
products.
FSIS' 1 CFU/g determination was not based on a single study. FSIS
cited seven Salmonella outbreak papers in the proposed determination
where the infectious dose was found to be very low, i.e., 10 or fewer
Salmonella organisms. FSIS cited an additional nine papers noted in the
proposed determination that found an infectious dose between 11 and 420
organisms resulted in human illness. Finally, FSIS cited an additional
dose-response paper written by the World Health Organization (WHO) that
supports Salmonella illness can result, on average, from small
doses.\49\
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\49\ World Health Organization, Risk assessment of Salmonella in
eggs and broiler chickens, March 25, 2002. Available at: https://www.who.int/publications/i/item/9291562293.
---------------------------------------------------------------------------
FSIS also did not rely on outdated data. Teunis 2022 specifically
states the outbreak data analyzed in the study ``. . . are the same
that were used in a previous analysis,'' i.e., Teunis 2010. In fact,
most of the data from the human challenge feeding trials \50\ used in
Teunis 2022 were published in 1951, about 70 years before the
publication of Teunis 2022. These data are scientifically debated. In
these trials, healthy volunteers were fed Salmonella, but none of the
strains used in Teunis 2022 had been isolated from a person with
salmonellosis.\51\ Some of the volunteers had been vaccinated for
Salmonella typhoid and paratyphoid. Blaser and Newman summarize the
issues as follows, ``the ability to generalize about what happens in
nature from the experimental data concerning the infective dose of
salmonellae is limited by several factors, including choice of strains,
repeated testing of the same subjects, failure to assess minimal
infective doses, and use of too few volunteers at the lower dosages.''
FSIS also disagrees with the commenters' assertion that a transposition
of an outbreak dose from 344 CFU to 3.44 CFU in Teunis 2010 was
``significant'' and, thus, evidence that FSIS' dose-response analysis
was based on an outdated model. Teunis 2022 specifically states that
``It was checked that correction of the dose changed the estimates of
Salmonella Enteritidis infectivity and pathogenicity only by a minute
amount, putting to rest concerns that quantitative risk assessments
might have been caused to use an incorrect model.'' \52\
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\50\ McCullough, N.B., Wesley Eisele, C., 1951a. Experimental
human salmonellosis. I. Pathogenicity of strains of Salmonella
meleagridis and Salmonella anatum obtained from spray-dried whole
egg. J. Infect. Dis. 88, 278-289; McCullough, N.B.,
\51\ Blaser, M.J. and L.S. Newman, A Review of Human
Salmonellosis .1. Infective Dose. Reviews of Infectious Diseases,
1982. 4(6): p. 1096-1106.
\52\ Peter F.M. Teunis, Dose response for Salmonella Typhimurium
and Enteritidis and other nontyphoid enteric salmonellae, 41
Epidemics (2022).
---------------------------------------------------------------------------
The commenters also suggested that Salmonella serotypes used in
Teunis 2010 are not representative of the serotypes that caused NRTE
breaded stuffed chicken product outbreaks or are found in raw chicken.
However, as stated in the proposed determination, all known NRTE
breaded stuffed chicken product outbreaks have been Typhimurium,
Heidelberg, I 4,[5],12:i:-, and Enteritidis. Teunis 2010 and Teunis
2022 used 48 outbreaks to estimate the Salmonella dose-response for all
serotypes. Eighty-three percent of those outbreaks represent serotypes
that have been associated with NRTE breaded stuffed chicken product
outbreaks.
Lastly, as mentioned, the proposed determination cited an
additional dose-response model, which was developed by the WHO Food and
Agriculture Organization of the United Nations for risk assessments for
Salmonella in eggs and broiler chickens.\53\ Also using outbreaks, the
model estimated a 13 percent chance of becoming ill if ingesting 100
organisms. Even at the level of 1 organism ingested, there was still a
non-zero chance of illness (0.25%).
---------------------------------------------------------------------------
\53\ World Health Organization, Risk assessment of Salmonella in
eggs and broiler chickens, March 25, 2002. Available at: https://www.who.int/publications/i/item/9291562293.
---------------------------------------------------------------------------
[[Page 35041]]
Comment: Industry members, poultry products trade associations, and
a meat industry research institute said FSIS should establish a new
adulteration threshold equal to or higher than 10 CFU/g for NRTE
breaded stuffed chicken products. These commenters noted that the FERN
Survey and FSIS data on NRTE breaded stuffed chicken products show that
more than a quarter of all Salmonella positives were Salmonella
Kentucky, which they claimed would not result in illness at 1 CFU/
g.\54\ A poultry products trade association also suggested FSIS based
its adulteration threshold on the infectious dose for Salmonella
Enteritidis, given it was the serotype most commonly associated with
NRTE breaded stuffed chicken outbreaks documented in the proposed
determination. Specifically, the trade association stated that FSIS
should base its threshold on the median dose of Salmonella Enteritidis
that is predicted to have a 50% probability of causing illness, which
was reported as 3,360 CFU. The comment asserted that assuming that the
average chicken component of an NRTE breaded stuffed chicken product is
70-88 grams as noted in the proposal, this provides a range of 38-48
CFU/g in NRTE breaded stuffed chicken products.
---------------------------------------------------------------------------
\54\ Laboratory Quality Assurance, Response, and Coordination
Staff (LQARCS) Office of Public Health Science Food Safety and
Inspection Service U.S. Department of Agriculture. Survey of Not
Ready-to-Eat Breaded and Stuffed Chicken Products for Salmonella.
June 2023.
---------------------------------------------------------------------------
Response: FSIS is finalizing the 1 CFU/g threshold as described in
the proposed determination because outbreaks associated with products
have continued to occur regularly despite updated labeling
instructions, outreach, and other industry and Agency efforts to make
the products safer. FSIS is not establishing a higher adulteration
threshold of 10 CFU/g or greater based on the dose at which 50% of
individuals exposed to 3,360 CFU of Salmonella Enteritidis are
predicted to become ill. Use of such a metric where half (50%) of
individuals exposed could become ill is not acceptable for a public
health regulatory program aimed at reducing the risk posed by NRTE
breaded stuffed chicken products, which are habitually undercooked by
consumers. Salmonella Enteritidis is not the only serotype of concern
in NRTE breaded stuffed chicken product, nor it is representative of
the infectious dose of all Salmonella serotypes. For example, Teunis
2022 states Infantis is predicted to have an InfD50 of 0.7
CFU and InfD01 0.01 CFU. Infantis is also predicted to have
an IllD50 of 1 CFU and an IllD01 of 0.07 CFU. All
four measures of infection and illness would be below the proposed 1
CFU/g adulteration threshold. Using the IllD01, Teunis 2022
supports the limit of 1 CFU/g for Enteritidis, Typhimurium, and
Infantis.
FSIS is not only concerned about Salmonella Enteritidis and
Infantis, but numerous serotypes that have been shown to be in NRTE
breaded stuffed chicken product. As discussed below, FSIS determined
numerous serotypes were of concern based on three data sources: (1)
verification sampling of raw comminuted chicken (a major component of
NRTE breaded stuffed chicken), (2) outbreak associated investigated
sampling of NRTE breaded stuffed chicken products, and (3) the recent
FERN survey of NRTE breaded stuffed chicken at retail.
First, using FSIS raw poultry sampling verification datasets for
comminuted chicken from 2015 to CYQ3 2021,\55\ FSIS serotyped 2,921
Salmonella positives and 58 unique serotypes. FSIS found the following
five most frequent serotypes in the following rank order from most to
least: Infantis, Enteritidis, Kentucky, Typhimurium, and
Schwarzengrund. Since NRTE breaded stuffed chicken products can be made
by grinding intact chicken, with trim and chicken skin, these
comminuted verification data suggest these serotypes are found in NRTE
breaded stuffed chicken products. The second data source was a 2015,
FSIS investigative sampling of NRTE breaded stuffed chicken comminuted
source components, finished products, and the processing environment
from two NRTE establishments associated with an outbreak.\56\ Among the
1,433 samples, 518 were positive for Salmonella, a 36% positive rate.
FSIS found the following serotypes in the following rank order from
most to least: Kentucky, Typhimurium, Infantis, Enteritidis,
Heidelberg, Schwarzengrund, I 4,[5],12:i:-, Montevideo, Mbandaka, and
Muenchen indicating virulent Salmonella serotypes can be directly found
in NRTE breaded stuffed chicken products. Lastly, in the FERN Survey,
NRTE breaded stuffed chicken products were purchased at retail from
July 1, 2022, to September 30, 2022. In total, 58 of the 487 samples,
12%, were positive for Salmonella. Fifty-three were serotyped finding
Infantis, Enteritidis, Kentucky, and Typhimurium, in that order of
frequency.
---------------------------------------------------------------------------
\55\ https://www.fsis.usda.gov/news-events/publications/raw-poultry-sampling.
\56\ https://www.fsis.usda.gov/news-events/publications/raw-poultry-sampling.
---------------------------------------------------------------------------
As FSIS acknowledged in the proposed determination, not all
Salmonella serotypes (e.g., Salmonella Kentucky), are equally likely to
cause illness (88 FR 26262). However, all Salmonella serotypes,
including Salmonella Kentucky, have the ability to invade, replicate,
and survive in human host cells, resulting in potentially fatal
disease,\57\ and the disparity among serotypes may be related to
factors other than serotype-specific differences in human
virulence.\58\ With Salmonella, higher virulence is associated with
enhanced ability to survive and grow in the gut or to attach to and
invade human cells, which is driven by changes to several mechanisms,
including mobile genetic elements and resident genes as well as
variations in gene sequence and expression. In an August 2018 report,
the National Advisory Committee on Microbiological Criteria for Foods
(NACMCF) was unable to find evidence in the literature for any
determinant that correlated with high virulence in human foodborne
disease.\59\ NACMCF noted that a few Salmonella serotypes are
consistently associated with the greatest incidence of human disease.
However, this disparity among serotypes may be related to survival in
animal hosts or during food harvesting and processing rather than
serotype-specific differences in human virulence.
---------------------------------------------------------------------------
\57\ Shu-Kee Eng, Priyia Pusparajah, NurulSyakima Ab Mutalib,
Hooi-Leng Ser, Kok-Gan Chan & Learn-Han Lee (2015) Salmonella: A
review on pathogenesis, epidemiology and antibiotic resistance,
Frontiers in Life Science, 8:3,
\58\ FSIS decision to declare all Salmonella at certain levels
as an adulterant was also based on a review of the current state of
laboratory technology (88 FR 26262).
\59\ NACMCF (2019). Response to Questions Posed by the Food
Safety and Inspection Service Regarding Salmonella Control
Strategies in Poultry. Journal of Food Protection 82(4): 645-668.
---------------------------------------------------------------------------
Comment: A meat industry research institute and industry member
asserted that current support for the 1 CFU/g standard is based, in
part, on data that include products whose characteristics are not the
same as raw chicken. According to the commenters, FSIS cited studies/
data associated with cheese, chocolate, and dressings, which are all
RTE products of high fat content, and have known Salmonella protective
characteristics during digestion. They noted that high fat content
protects Salmonella against gastric acidity resulting in a reduction of
dose-response curve with a low infectious
[[Page 35042]]
dose.60 61 62 63 They argued that raw chicken, unlike these
other products, provides increased heat lethality, is expected to be
heated, and is lower in fat and not emulsified.
---------------------------------------------------------------------------
\60\ Naschimento, et.al., (2012) Inactivation of Salmonella
during cocoa roasting and chocolate conching. International Journal
of Food Microbiology 159 (3):225. 718-727.
\61\ Krapf, Tamara, and Corinne Gantenbein-Demarchi. ``Thermal
inactivation of Salmonella spp. during conching.'' LWT-Food Science
and Technology 43, no. 4 (2010): 720-723.
\62\ Podolak, Richard, Elena Enache, Warren Stone, Darryl G.
Black, and Philip H. Elliott. ``Sources and risk factors for
contamination, survival, persistence, and heat resistance of
Salmonella in low-moisture foods.'' Journal of food protection 73,
no. 10 (2010): 1919-1936.
\63\ D'aoust, J.Y. ``Salmonella and the chocolate industry. A
review.'' Journal of Food Protection 40, no. 10 (1977).
---------------------------------------------------------------------------
Response: FSIS does not agree with the assertion that the dose-
response models, including Teunis 2010, Teunis 2022, and the WHO Risk
assessment of Salmonella in eggs and broiler chickens, are not
applicable to chicken-specific outcomes. The commenters indicated that
many of the outbreaks used in the dose-response models reported low
doses for high-fat products (some reported in the range of 10\1\).
Looking at the outbreaks used in the Salmonella Enteritidis dose-
response model,\64\ there are many outbreaks that are presumably high-
fat but are also high dose. For example, (food vehicle and dose (CFU))
Hollandaise 4.48 x 10\4\, Macaroni salad 4.40 x 10\4\, Scallop/cream
1.00 x 10\6\, Yam/soup 1.94 x 10\6\, Bavarois (Bavarian ice-cream) 1.01
x 10\5\, Ice cream 3.84 x 10\6\, Tiramisu 1.29 x 10\8\, Cake 6.06 x
10\5\, Mayonnaise 5.57 x 10\4\. These outbreak doses range from about
10,000 to 100,000,000 organisms. Further, the commenter suggested that
the chicken matrix is low-fat and the only ingredient of concern. NRTE
breaded stuffed chicken products can be made from comminuted (ground)
chicken where high-fat chicken skin may be combined and comminuted with
skinless, boneless chicken. Additionally, NRTE breaded stuffed chicken
products include high-fat ingredients, such as cheese, cream, butter,
and ham, that could act to encourage pathogen survival.
---------------------------------------------------------------------------
\64\ Peter F.M. Teunis, Dose response for Salmonella Typhimurium
and Enteritidis and other nontyphoid enteric salmonellae, 41
Epidemics (2022).
---------------------------------------------------------------------------
FSIS agrees that very few of the outbreaks used in any of the dose-
response models mentioned in the public comments or the proposed
determination are specifically associated with an outbreak where the
contaminated ingredient was determined to be chicken. However, there
are several outbreaks used in the dose-response models that are based
on animal products. These include beef, chicken, egg, prawn, scallop,
and octopus. The commenters did not provide an explanation for how the
lack of chicken outbreaks would impact the dose-response except to
imply it would not be representative. However, dose-response models
describe pathogens and are rarely, if ever, specific to the
transmission pathway.
I. Virulence
Comment: A poultry industry commenter stated that FSIS needs to
gather more information on Salmonella virulence.
Response: As discussed in the proposed determination (88 FR 26262),
the basis for Salmonella virulence is not fully understood. Many
virulence factors have been identified that contribute to Salmonella
pathogenicity. The interactions of these factors and the resulting
strain virulence and pathogenicity has not been completely elucidated,
but single genes and pathogenicity islands have been identified as key
virulence traits. However, there is currently no agreed-upon definition
of virulence genes presence/absence profile that can reliably predict
severity of disease.\65\ FSIS, as discussed in the proposed
determination (88 FR 26262), is working to better understand Salmonella
characteristics, including virulence, and actively engages in and
encourages research in this area. As science and laboratory
technologies advance, FSIS will continue to use the most innovative and
sensitive methods available to protect public health.
---------------------------------------------------------------------------
\65\ NACMCF (2022). Response to questions Posed by FSIS:
Enhancing Salmonella Control in Poultry Products. Available at:
https://www.fsis.usda.gov/sites/default/files/media_file/documents/NACMCF_Salmonella-Poultry_Response_for_Committee_Review.pdf.
---------------------------------------------------------------------------
J. Consumer Behavior
Comment: Poultry products trade associations and a meat industry
research institute argued that consumers prepare raw chicken in a
manner that destroys Salmonella and, thus, Salmonella cannot be
considered an adulterant in products that include raw poultry
components. One poultry products trade association also specifically
asserted that FSIS cannot take the action discussed in the proposed
determination because it has not proved that consumers must cook NRTE
breaded stuffed chicken products to a temperature higher than other raw
poultry products in order to effectively kill Salmonella. A poultry
products trade association also asserted that the 2020 consumer study
\66\ and the 2022 CDC Appliance Report \67\ cited in the proposed
determination do not prove that consumers mishandle or use the
incorrect appliances to prepare NRTE breaded stuffed chicken products.
The commenter also noted that FSIS' analysis of consumer behavior
pertaining to food thermometer use relied on an outdated paper
explicitly focused on microwavable products from 1998-2006.\68\
---------------------------------------------------------------------------
\66\ S.C. Cates, et al., Food Safety Consumer Research Project:
Meal Preparation Experiment on Raw Stuffed Chicken Breasts, RTI
Project No. 0215472, ES-1-2 (Sept. 23, 2020).
\67\ Marshall, K.E., Canning, M., Ablan, M., Crawford T.N.,
Robyn, M. Appliances Used by Consumers to Prepare Frozen Stuffed
Chicken Products-United States, May-July 2022. Morb Mortal Wkly Rep
Dec 2,2022; 71(48);1511-1516. Available at: https://dx.doi.org/10.15585/ mmwr.mm7148a2.
\68\ Smith, K.E., Medus, C., Meyer, S.D., Boxrud, J.D., Leano,
F., Hedburg, C., Elfering, K., Braymen, C., Bender, J.B., Danila,
R.N. 2008. Outbreaks of Salmonellosis in Minnesota (1998 through
2006) Associated with Frozen, Microwaveable, Breaded Stuffed Chicken
Products. Journal of Food Protection. 71(10): 2153-2160.
---------------------------------------------------------------------------
Response: FSIS disagrees. As FSIS noted in the proposed
determination (88 FR 26252), there are special considerations to take
into account with these particular products that are relevant to
consumer cooking practices. For one, unlike most raw poultry products,
NRTE breaded stuffed chicken products often appear fully cooked and,
thus, some consumers may only reheat the product for aesthetic or
palatability purposes rather than subject it to cooking sufficient to
kill pathogenic bacteria. Second, consumers typically cook NRTE breaded
stuffed chicken from a frozen state, which increases the risk that the
products will not reach an internal temperature needed to destroy
Salmonella organisms that may be in the product. Third, NRTE breaded
stuffed chicken products have a thicker diameter and a different
composition than most other raw chicken products that are not stuffed,
including other par-fried breaded products, which can make effective
cooking of NRTE breaded stuffed chicken more challenging. In addition,
it may be difficult for a consumer to determine an accurate internal
temperature of these products because they contain multiple
ingredients, such as cheese and vegetables, that may cook at different
rates. FSIS has recommended in the past that consumers check the
temperature at multiple locations throughout the product using a food
thermometer, but this is not always practical or accurate.
As discussed in the proposed determination (88 FR 26252-26259),
[[Page 35043]]
outbreak investigations indicate that, despite industry and Agency
efforts, consumers' cooking practices continue to be insufficient to
destroy Salmonella in NRTE breaded stuffed chicken products and, as
such, they continue to have a disparate impact on public health.
Despite industry updates to labeling and Agency outreach on the safe
preparation of NRTE breaded stuffed chicken products, outbreak
investigations consistently indicate that case patients erroneously
believed these products were precooked, did not ordinarily use food
thermometers to check the internal temperature of the product, and used
a microwave or other unsuitable appliance to cook the products.
Moreover, many case patients became ill even when they used an oven to
prepare the product.
Further, FSIS disagrees with commenters' assertions that the
consumer research cited in the proposed determination was flawed or did
not indicate that a significant percentage of consumers customarily
mishandle NRTE breaded stuffed chicken products despite reading the
manufacturer's labeling and instructions. As commenters noted, the
proposed determination cited a 2008 report published in the Journal of
Food Protection. FSIS appropriately cited this report to describe four
separate salmonellosis outbreaks associated with NRTE breaded stuffed
chicken that occurred between 1998-2006, related investigative
findings, and the subsequent actions taken in response.\69\ The report
indicated that most consumers sickened in a 1998 outbreak reported
using a microwave to prepare the product, and no consumers reported
using a food thermometer. In response, the company responsible for the
outbreak updated the preparation instructions on its product labeling.
Then, in 2005, the report indicated that another outbreak occurred.
Again, the manufacturer responsible for the outbreak updated its
labeling instructions. FSIS also issued a public health alert to remind
consumers that frozen meat and poultry products must be fully cooked
before they are consumed. According to the report, following these
additional communications with consumers and labeling changes by the
manufacturers, two additional outbreaks occurred in the 2005-2006
timeframe. Again, most of the case patients used a microwave oven to
cook the products and none of the case patients took the internal
temperature of the product after cooking it. FSIS, therefore, issued
another public health alert, emphasizing that consumers must cook NRTE
breaded stuffed chicken products to 165 [deg]F. FSIS sent a letter to
an establishment involved in one of the outbreaks recommending they
enhance and validate the cooking instructions to ensure that they
address the intended use by the consumer.\70\ FSIS then posted the
letter online as guidance to all industry and requested that all such
establishments update their labeling to include a statement such as
``Uncooked: For Safety, Must be Cooked to an Internal Temperature of
165 degrees F as Measured by Use of a Thermometer.'' As discussed in
the proposed determination, despite these efforts, consumers continued
to prepare NRTE breaded stuffed chicken products in a manner that did
not adequately destroy Salmonella, resulting in several more outbreaks
and subsequent unsuccessful efforts to update labeling instructions and
educate the public on how to properly cook such products (88 FR 26252-
26259).
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\69\ Smith, K.E., Medus, C., Meyer, S.D., Boxrud, J.D., Leano,
F., Hedburg, C., Elfering, K., Braymen, C., Bender, J.B., Danila,
R.N. 2008. Outbreaks of Salmonellosis in Minnesota (1998 through
2006) Associated with Frozen, Microwaveable, Breaded Stuffed Chicken
Products. Journal of Food Protection. 71(10): 2153-2160.
\70\ Letter to industry about the safe handling labeling of
uncooked, breaded, boneless poultry products (March 2006) at:
https://www.fsis.usda.gov/guidelines/2006-0007.
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In addition to analyzing outbreak data, FSIS discussed the results
of two consumer behavior studies that helped inform its determination
that a significant percentage of consumers do not customarily cook NRTE
breaded stuffed chicken products in a manner that adequately destroys
Salmonella. In the 2020 Meal Preparation Experiment cited in the
proposed determination (88 FR 26257),\71\ FSIS contracted with RTI
International and North Carolina State University to conduct five
separate iterations of a meal preparation study to evaluate consumer
food handling behaviors in a test kitchen. The third iteration of the
study specifically examined participants' meal preparation related to
NRTE breaded stuffed chicken products. Half of the participants were
assigned to a control group, whereas the other half was assigned to a
treatment group. Amongst other things, the study found that consumers
may confuse frozen NRTE breaded stuffed chicken products with RTE
products. Specifically, the study concluded that even though 99% of all
participants read the manufacturer's instructions for NRTE breaded
stuffed chicken products, nearly a quarter reported they were not sure
if the products were raw or fully cooked, twenty-two percent reported
they were unaware that the product was raw, and eleven percent of the
participants incorrectly believed the product was fully cooked. The
study also found that a significant number of participants did not use
food thermometers to check that the NRTE breaded stuffed chicken
product reached a safe internal temperature of 165 [deg]F, with some
using other methods to determine doneness such as time, visual cues,
and touch. Thirty-eight percent of participants also self-reported not
using their food thermometer at home to check that NRTE breaded stuffed
chicken products were properly cooked. Moreover, the study observed
that a significant number of participants did not adequately wash their
hands during meat preparation. The study concluded that these issues
were likely attributable to participants preparing a NRTE breaded
stuffed chicken product rather than raw, unfrozen poultry that is not
breaded and stuffed. This indicates that the appearance of NRTE breaded
stuffed chicken products and the fact that they are typically cooked
from a frozen state may contribute to Salmonella cross-contamination in
the home.
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\71\ Final Report: Food Safety Consumer Research Project: Meal
Preparation Experiment on Raw Stuffed Chicken Breasts (September 23,
2020) at: https://www.fsis.usda.gov/sites/default/files/media_file/2021-04/fscrp-yr3-nrte-final-report.pdf.
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The proposed determination also discussed the results of a 2022
survey that collected information from thousands of participants from
May 31-July 6, 2022, to determine the demographic characteristics of
persons who prepare NRTE breaded stuffed chicken products and the
appliances they use to prepare them.\72\ Even though NRTE breaded
stuffed chicken product labels typically instruct consumers to cook the
product in an oven and specifically warns against the use of a
microwave, 54 percent of participants reported that they prepared these
products using appliances other than, or in addition to, ovens.\73\
Specifically, 30 percent reported preparing the products using air
fryers, 29 percent reported using microwaves, approximately 14 percent
reported using toaster ovens, and approximately 4 percent reported
using another appliance. Economic and other factors might affect
certain groups'
[[Page 35044]]
access to recommended cooking appliances and, thereby, the customary
manner in which these groups cook NRTE breaded stuffed chicken
products.
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\72\ Marshall, K.E., Canning, M., Ablan, M., Crawford T.N.,
Robyn, M. Appliances Used by Consumers to Prepare Frozen Stuffed
Chicken Products-United States, May-July 2022. Morb Mortal Wkly Rep
Dec 2,2022; 71(48);1511-1516. Available at: https://www.cdc.gov/mmwr/volumes/71/wr/mm7148a2.htm.
\73\ Participants in the study were allowed to choose more than
one cooking option.
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FSIS also disagrees that, in order to finalize the proposed
determination, it must show that consumers must cook NRTE breaded
stuffed chicken products to a temperature higher than other raw poultry
products in order to effectively kill Salmonella. As noted in the
proposed determination, the status of NRTE breaded stuffed chicken
products contaminated with Salmonella must depend on whether there is
adequate assurance that consumer handling of the product will result in
a product that does not contain Salmonella at levels sufficient to
cause human illness when consumed (64 FR 2803). The evidence cited in
the proposed determination, including the consumer research cited
above, shows consumers routinely do not fully cook NRTE breaded stuffed
chicken nor do they routinely use a food thermometer to test the
internal temperature of the product and, thus, has concluded that the
appropriate response to protect public health is to ensure that
products contaminated with Salmonella at levels sufficient to cause
human illness (1 CFU/g) are excluded from commerce.
K. Laboratory Methods
Comment: Poultry products trade associations, a meat products
research institute, a member of the poultry products industry, a trade
group representing the frozen foods industry, and a society of meat
industry professionals raised some issues regarding the laboratory
methods FSIS intends to implement. Generally, they stated that
Salmonella enumeration testing technology is still under development,
that current methods are limited, and that FSIS needs to ensure that
its methods are validated prior to implementation of this
determination. Specifically, they noted that available Salmonella
enumeration methods are not currently validated for NRTE breaded
stuffed chicken products or at a detection level of 1 CFU/g. A poultry
products trade association and an industry member also asserted that
there is a margin of variability inherent in the available laboratory
methods and asked for clarity on how FSIS would account for this. An
industry member also asked FSIS to use polymerase chain reaction (PCR)-
based limit of detection testing, until quantification methods are
improved and validated.
Response: FSIS laboratories performed a thorough verification of
validated methods by independent organizations. FSIS' current qPCR
method is validated for 1 CFU/g in NRTE breaded stuffed chicken.\74\
The Most Probable Number (MPN) method is another enumeration technique
that FSIS has adopted.\75\ FSIS intends to routinely evaluate new
methods of Salmonella quantification, as they become available, that
provide both accuracy and fitness for a high-throughput laboratory
environment.
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\74\ BioMerieux GENE-UP QUANT Salmonella, AOAC Performance
Tested Methods\SM\ Certification Number 082104 is the current
validation.
\75\ See https://www.fsis.usda.gov/news-events/publications/microbiology-laboratory-guidebook.
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Comment: To expedite test results, a poultry products trade
association requested that the Agency consider conducting the
quantitative assay concurrently with the assay being conducted to
screen the sample for the general presence of Salmonella, not based on
that assay. The commenters also asked for clarity on if quantitative
and general detection results will be obtained from the same
homogenized sample to avoid conflicting results that could arise if
using different analytical sample portions due to factors such as the
nonhomogeneous distribution of Salmonella.
Response: FSIS intends to use the same homogenized sample for the
quantitative and detection screen protocols. Enumeration results will
be reported on the same day. For samples that are potential positives,
an additional 3 days may be necessary for a confirmed positive or
negative result. These timeframes and methods may change as FSIS
incorporates new laboratory technologies into its sampling and
verification testing.
Comment: A poultry products trade group stated that Salmonella
levels in finished product are typically less than 1 CFU/g but that the
levels in samples may grow beyond the 1 CFU/g threshold during
transport of the sample to Federal laboratories. The commenters asked
the Agency to account for this phenomenon in its final determination,
given even a slight difference in results may have a negative impact on
industry.
Response: Current FSIS procedures ensure the temperature of the
Salmonella samples to be 15 [deg]C or less upon receipt at the field
service laboratories.\76\ The laboratories will discard samples that
arrive at a temperature above 15 [deg]C.\77\ This upper temperature
limit is intended to prevent the outgrowth of competitors that could
affect pathogen recovery in the lab. These limits also ensure that
growth during shipment does not occur. While 15 [deg]C is the upper
allowable limit, samples received at the laboratory typically do not
approach that temperature. USDA studies have shown no significant
difference in the levels of Salmonella in ground beef samples if kept
at refrigerator temperatures for 24-48 hours (Narang et al, 2005).
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\76\ USDA FSIS MLG 1.01 FSIS Laboratory System Introduction,
Method Performance Expectations, and Sample Handling for
Microbiology, available at https://www.fsis.usda.gov/sites/default/files/media_file/2022-03/MLG_1.01.pdf.
\77\ FSIS Directive 10250.1, Salmonella and Campylobacter
Verification Program for Raw Meat and Poultry Products.
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Comment: A commercial laboratory suggested that FSIS consider using
third-party laboratories that are part of the Accredited Laboratory
Program (ALP) when including laboratories that will be assisting the
Agency. Further, a member of the poultry products industry stated that
FSIS should utilize industry analytical data from ALP on the levels of
Salmonella to conduct their verification, to assist small and very
small processors.
Response: Currently, FSIS labs analyze all samples that FSIS
inspectors collect to verify that product is wholesome and not
adulterated. Also, FSIS labs currently have the capacity to conduct
verification sampling and testing of NRTE breaded stuffed chicken
products. Thus, at this time, FSIS intends to collect all samples and
use its own labs for verification testing conducted under this final
determination.
L. Verification Sampling
Comment: Poultry products trade associations, industry members, and
a meat industry research institute asked FSIS to consider sampling
earlier in the NRTE breaded stuffed chicken product production process
to give establishments more flexibility to divert failed product for
other uses. Specifically, commenters asked FSIS to consider conducting
sampling on the raw incoming chicken components used to produce NRTE
breaded stuffed chicken, prior to those materials being comminuted and
combined. They indicated that, if FSIS finalized the sampling location
as discussed in the proposed determination, establishments would have
less flexibility to divert product exceeding the 1 CFU/g adulteration
threshold, given the chicken components, once processed and prepared
for breading and stuffing, have a short shelf life and a unique
formulation that can only be utilized to produce NRTE breaded stuffed
chicken products. Thus, the commenters asserted that sampling at the
location discussed in the proposed determination would lead to
substantial food waste and lost product costs.
[[Page 35045]]
Response: In the proposed determination (88 FR 26249), FSIS
proposed to collect verification samples after the establishment has
completed all processes needed to prepare the chicken component to be
stuffed and breaded to produce final NRTE breaded stuffed chicken
products. However, FSIS agrees with commenters that sampling earlier in
the production process may provide some establishments with additional
flexibility to divert sampled source products for other uses, thereby
reducing food waste, lost product costs, and establishment operations
changes due to the collection event. As such, FSIS will collect
verification samples from incoming raw poultry source materials at the
establishment producing the NRTE breaded stuffed chicken prior to
breading and stuffing at an appropriate point in the establishment's
process. In assessing the suitability of the sampling location at any
individual establishment, FSIS will take into account the
establishments' production process and the Agency's ability to collect
the sample safely and effectively. Any Salmonella detected in NRTE
breaded stuffed chicken source materials will be enumerated and source
materials that exceed 1 CFU/g of Salmonella must be diverted for other
uses.
Comment: A poultry products trade association asked for clarity on
whether the Salmonella adulteration threshold for NRTE breaded stuffed
chicken products applies only to the chicken components tested by FSIS
or to the finished product itself. The commenter also asked for clarity
on whether establishments may complete the production of NRTE breaded
stuffed chicken products while awaiting sampling results, so long as
such products remain under establishment control and are not released
into commerce. Further, the commenter asked FSIS to provide that
establishments may divert raw chicken source material confirmed
positive for Salmonella at 1 CFU/g for uses other than the production
of NRTE breaded stuffed chicken products.
Response: Under this determination, all finished NRTE breaded
stuffed chicken products that are contaminated with Salmonella at 1
CFU/g or greater are adulterated within the meaning of 21 U.S.C.
453(g)(1) and 21 U.S.C. 453(g)(3). This adulteration standard applies
to finished NRTE breaded stuffed chicken products, not the raw incoming
chicken components tested by FSIS. Tested chicken components and those
components represented by the sampled lot before incorporation into
NRTE-BSC products would not be considered adulterated for certain other
uses if confirmed positive for 1 CFU/g or greater of Salmonella. Thus,
establishments may divert such raw material components to another
appropriate application (e.g., breaded nugget or fully cooked
products). Chicken components subject to sampling and verification
testing and confirmed positive for 1 CFU/g or greater of Salmonella
would be ineligible for use in NRTE breaded stuffed chicken products
under 9 CFR 417.2(c)(3).
In the proposed determination (88 FR 26266), FSIS stated that,
pending test results, establishments should not incorporate sampled
lots into finished NRTE breaded stuffed chicken products. However, in
response to public comments, FSIS is clarifying that this statement was
only meant to apply to sampled lots incorporated into NRTE breaded
stuffed chicken products released into commerce. Establishments that
produce NRTE breaded stuffed chicken may, at their discretion,
incorporate sampled lots into finished NRTE breaded stuffed chicken
products, so long as those finished products remain under establishment
control awaiting acceptable test results.
Comment: A poultry products trade association and a meat industry
research institute noted that, upon entering commerce, NRTE breaded
stuffed chicken may be subject to additional testing by state or local
health authorities, customers, consumer advocacy organizations, or even
FSIS and other Federal partners. The commenters asked for clarity on
how FSIS would interpret such downstream testing and what public health
actions it would take if such testing showed that finished NRTE breaded
stuffed chicken products in commerce contain Salmonella at 1 CFU/g or
greater.
Response: Under this determination, all finished NRTE breaded
stuffed chicken products that are contaminated with Salmonella at 1
CFU/g or greater are adulterated within the meaning of 21 U.S.C.
453(g)(1) and 21 U.S.C. 453(g)(3). If FSIS receives test results from a
third party (e.g., a state health department, advocacy organization, or
consumer), the Agency will address those results in accordance with
FSIS Directive 10,000.1, Policy on Use of Results for Non-FSIS
Laboratories. Assuming the test results are deemed acceptable, FSIS may
use the results to inform Agency action, such as detaining the product
or initiating a recall.
Comment: To minimize product storage costs, a poultry products
trade association asserted that FSIS should provide establishments with
enumeration results as soon as they are available, without waiting for
serotype or WGS information.
Response: FSIS will transmit test results to establishments as soon
as possible and will not withhold such results while awaiting other
information. FSIS intends to use the LIMS-Direct system and Biological
Information Transfer Email System (BITES) messages to alert
establishments and Office of Field Operations personnel prior to the
confirmed positive and WGS or serotyping steps of the analysis.
Comment: Poultry products trade associations, a poultry products
industry member, and a meat industry research institute requested
clarity on how production lots would be defined for purposes of FSIS'
verification and sampling program.
Response: Establishments are responsible for defining a production
lot. Establishments should ensure that there is a scientifically
supportable basis for their lotting practices to ensure microbiological
independence. To create independence between production lots,
establishments need to consider the way in which the hazard is likely
to be introduced to the process, such as from the addition of chicken
skin, and during handling and processing of chicken parts, and grinding
of chicken trim that may be used in the production of NRTE breaded
stuffed chicken products. When applicable and available, FSIS and
establishment microbial sampling, as well as the lotting of received
source materials must also be considered and support the establishments
product lot definition. A production lot can be defined by the
establishment in several ways. FSIS does not consider ``clean-up to
clean-up'' alone as a supportable basis for distinguishing one portion
of raw chicken production from another portion of production.
Establishments may decide to use a robust, statistically based sampling
program, one or more processing interventions that have been validated
to limit or control Salmonella, or other scientifically supportable
process to define the lot.\78\
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\78\ For additional information on lotting see the FSIS
Guideline for Holding and Controlling Meat, Poultry, and Egg
Products Pending FSIS Test Results. Available at: https://www.fsis.usda.gov/policy/fsis-guidelines.
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M. Implementation Date
Comment: A meat industry research institute stated that the Agency
must allow a reasonable timeframe to implement the final determination.
The commenter noted that establishments
[[Page 35046]]
will need to adjust and put processes in place to hold product during
testing and divert positive product. Moreover, according to the
commenter, establishments may need to weigh the costs of these
processes to determine whether continued production of these types of
products is viable. According to the commenter, an effective date one
year from the publication of a final determination would be reasonable.
Response: FSIS agrees that industry will need a reasonable amount
of time to adjust to this determination. As such, this final
determination will not be effective until 12 months after publication
of this final determination. Also, FSIS inspection verification
sampling will be implemented 12 months after publication of this final
determination.
N. Cost Benefit Analysis
Comment: Poultry products trade associations, a meat industry
research institute, and a member of the poultry products industry,
asserted that storage costs under the proposal would be greater than
anticipated in the proposed determination; however, they did not
provide any costs estimates to support their assertion. Specifically,
the commenters argued that some establishments do not have enough
storage capacity to hold products awaiting test results and would,
thus, have to purchase off-site storage. Further, commenters stated
that the proposed determination did not adequately account for
transportation or labor costs, associated with moving product to and
from off-site storage facilities. Commenters also asserted that FSIS
test results are likely to take longer than estimated in the proposed
determination's CBA and that test and hold requirements will reduce
shelf life for these products.
Response: FSIS disagrees that the anticipated costs for cold
storage will be greater than estimated in the proposed determination.
FSIS requires that establishments maintain control of sampled product
pending FSIS verification testing results so that product does not
enter commerce, while allowing establishments the flexibility of
determining where to hold product as well as deciding whether to divert
product into other uses. Additionally, as mentioned above,
establishments will be able to complete the production process using
sampled product, provided they maintain control of any finished
products and do not release them into commerce, pending acceptable test
results. This will likely reduce an establishment's need for cold
storage capacity. To be conservative, FSIS' preliminary cost benefit
analysis (CBA; 88 FR 26267) accounted for cold storage costs assuming
every lot would be sampled and held. The final CBA assumes FSIS would
sample up to 5 lots per establishment per month. The preliminary CBA
also assumed that sampling would take place right before the chicken
component was stuffed and formed into a NRTE breaded stuffed chicken
product. However, as discussed above, FSIS has updated the sampling
location to give establishments greater flexibility to divert products
for other uses and otherwise reduce operating costs. Given FSIS'
assumed lower sampling frequency, greater flexibility in sampling
location and establishments' ability to divert components or products,
FSIS does not expect establishments to have challenges holding or
controlling FSIS sampled product or have additional labor or
transportation issues. Moreover, FSIS does not believe the quality or
shelf-life of NRTE breaded stuffed chicken products would be impacted
during cold storage while industry awaits FSIS sampling results because
these products are frozen. In response to comments, FSIS updated the
final CBA by conservatively using the higher estimate for frozen cold
storage costs instead of the refrigerated cold storage costs used in
the preliminary CBA.
FSIS also does not foresee an issue with cold storage capacity.
Cold storage construction in the United States has increased since 2020
to meet higher refrigeration demands. According to the U.S. Bureau of
Labor Statistics, the number of private refrigerated warehouse
facilities increased by 7.5 percent from 2020 to 2021 and an additional
6.8 percent from 2021 to 2022.\79\ This increase compares to an average
annual growth rate of 2.5 percent per year from 2013 to 2020.\80\ With
the increase in the number of cold storage establishments, FSIS does
not expect the cold storage availability to impact the establishments'
ability to store lots of product when FSIS collects a sample. For a
conservative estimate, the Agency assumed that all costs of storing
product for the sampled lots are due to this final determination;
however, establishments may already store the chicken components for
NRTE breaded stuffed chicken products in their facilities or in an off-
site location for a certain amount of time.
---------------------------------------------------------------------------
\79\ Bureau of Labor of Statistics. Number of Establishments in
Private NAICS 49312 Refrigerated warehousing and storage for All
establishment sizes in U.S. TOTAL, NSA. Annual totals from 2013 to
2022. Accessed on September 27, 2023.
\80\ Bureau of Labor of Statistics. Number of Establishments in
Private NAICS 49312 Refrigerated warehousing and storage for All
establishment sizes in U.S. TOTAL, NSA. Annual totals from 2013 to
2022. Accessed on September 27, 2023.
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FSIS is confident in its estimated sampling timeframes. In the
final determination, FSIS estimates all product sampled and tested by
FSIS will be held for 2 days pending screening and enumeration results.
At the 1 CFU/g limit, FSIS estimates that about 97 percent of product
could be released after two days. Receiving the enumeration results
within two days will help industry make more timely decisions about
their product and save on cold storage and lost product costs.
Comment: A poultry products trade association and meat industry
research institute stated that there are issues with FSIS' analysis of
costs in the proposed determination associated with diverted or
destroyed product. Specifically, these commenters noted that there is
not a market for raw chicken components that are already formulated for
use in NRTE breaded stuffed chicken products and, thus, establishments
producing raw poultry products cannot readily divert such products for
other uses.
Response: FSIS proposed an inspection verification sampling program
for Salmonella in NRTE breaded stuffed chicken products in which the
Agency would collect a sample from the chicken component of NRTE
breaded stuffed chicken product prior to breading and stuffing, but
after the establishment had completed all the processes needed to
prepare the chicken to be stuffed and breaded. However, in the final
determination, and based on public comment, FSIS decided to modify the
verification sampling location by collecting verification samples on
the incoming chicken components. This change may provide establishments
with additional flexibility and allow them to divert chicken components
more readily.
Comment: A poultry products trade association and meat industry
research institute noted that many establishments would be hesitant to
divert Salmonella-positive product for other NRTE purposes. According
to the commenters, to avoid potential liability, many establishments
may cook the affected product or employ some other lethality step,
resulting in a lower value product. The commenters also asserted that
many establishments would need to incorporate sampled lots into
finished NRTE breaded stuffed chicken products to avoid spoilage.
Response: FSIS accounts for the lost value in the CBA by assuming
diverted chicken components would lose \2/3\ of their market value.
Alternatively, the establishment is not required to divert
[[Page 35047]]
product because FSIS collected a sample and thus, may choose to
continue to produce NRTE breaded stuffed chicken and hold the finished
product pending verification, which FSIS also included in its estimates
for cold storage costs. NRTE breaded stuffed chicken finished product
produced from chicken components that FSIS detects to contain
Salmonella at levels of 1 CFU/g or higher are considered adulterated;
however, establishments may be able to fully cook these finished
products to achieve lethality resulting in a ready-to-eat product.
Comment: Industry asked FSIS to clarify how it estimated lot sizes
in the proposed determination's CBA and noted that the lot sizes may be
larger than estimated in the preliminary CBA.
Response: The lot size estimates used in the preliminary CBA were
an assumption based on the Agency's data on annual production volumes
at these establishments. The preliminary CBA assumed establishments
producing at least 1 million pounds of NRTE breaded stuffed chicken
annually were high volume establishments with 10,000-pound lots. This
assumption was based on examples from the 2013 FSIS Compliance
Guideline: Controlling Meat and Poultry Products Pending FSIS Test
Results.\81\ The preliminary CBA assumed establishments producing less
than 1 million pounds of NRTE breaded stuffed chicken annually were
low-volume establishments with 1,000-pound lots. This assumption was
based on production data from FSIS' Public Health Information System.
FSIS requested comments on these assumptions but did not receive
specific comments on lot size for these products. However, in responses
to the comments that the lot sizes may be larger, the final CBA has
been updated to consider a day's production as a lot at both high and
low volume establishments. This is a conservative estimate because the
lot sizes may be smaller than a day's production. Establishments
ultimately define and support their lot sizes.
---------------------------------------------------------------------------
\81\ FSIS Compliance Guideline: Controlling Meat and Poultry
Products. Pending FSIS Test Results. 2013. https://www.fsis.usda.gov/sites/default/files/media_file/2021-09/FSIS-GD-2013-0003.pdf. Accessed on: November 9, 2023.
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Comment: A meat industry research institute and a poultry products
industry member stated that FSIS' CBA should have accounted for
different employee types to estimate sampling or HACCP plan
reassessment labor costs. The same commenters stated that a food
safety, quality assurance, or a laboratory employee are more likely to
conduct sampling. They stated that establishments typically do not use
line personnel to conduct sampling and, thus, would need to hire
additional personnel to conduct tasks associated with sampling and
testing. Another commenter suggested that FSIS should better account
for the wages of an ``experienced production employee'' in estimating
the labor costs of HACCP plan reassessment.
Response: In response to comments, the final CBA has been updated
to include that sample collection is conducted by food scientists and
technologists. In addition, the final CBA has been updated to included
wage ranges for all the wage estimates to account for the variability
in wage rates within the professions. FSIS maintains the assumption
that establishments would use and train current employees to implement
any new or additional sampling in response to this final determination.
While the CBA conservatively assumed every establishment would begin or
increase sampling in response to this new policy, some establishments
already have robust sampling procedures in place and may not make any
changes to their sampling in response to the final determination, while
other establishments may choose not to conduct any sampling.
Additionally, the Agency did not receive any information on the number
of additional employees an establishment would hire in response to this
final determination.
Comment: Poultry product trade associations, a member of the
poultry products industry, and a meat industry research institute
stated that FSIS' CBA underestimated miscellaneous costs associated
with the proposed determination, such as testing by industry, employee
training, applying new Salmonella interventions, changing production
processes, and validating new production methods and cooking
instructions. These commenters also stated that the CBA underestimated
the market price of NRTE breaded stuffed chicken products and,
specifically, failed to adjust the price for inflation.
Response: FSIS disagrees that miscellaneous costs are
underestimated. FSIS included the cost of HACCP reassessment in the CBA
for all establishments producing NRTE breaded stuffed chicken products.
Sanitation procedures are a prerequisite to HACCP and according to 9
CFR 416.1, ``Each official establishment must be operated and
maintained in a manner sufficient to prevent the creation of insanitary
conditions and to ensure that product is not adulterated.'' \82\ Any
sanitation issues should be addressed as a condition for the
establishment's grant of inspection. Any costs associated with
sanitation will not be a result of the new policy.
---------------------------------------------------------------------------
\82\ National Archives. Code of Federal Regulations. Part 416.1
Sanitation Rules: General Rules. Accessed on October 11, 2023:
https://www.ecfr.gov/current/title-9/chapter-III/subchapter-E/part-416.
---------------------------------------------------------------------------
FSIS did not include the cost of validating cooking instructions in
the CBA because industry has already made the recommended changes after
the 2015-2016 outbreaks. Any expenses establishments incur to validate
cooking instructions or update labels are outside the scope of the
policy.
FSIS updated the final CBA to 2022 dollars and used the 2022
average price of chicken breast to represent the price of chicken
components for NRTE breaded stuffed chicken product. To be
conservative, FSIS used the retail price of boneless chicken breast,
which is the premium chicken component utilized in these products.
Comment: Poultry product trade associations, a member of the
poultry product industry, and a meat industry research institute noted
that sampling and testing alone does not change pathogen loads. Thus,
according to commenters, the CBA should assume that establishments will
bear the costs of updating their processes to control Salmonella.
Response: The final determination and FSIS inspection verification
of the adequacy of the HACCP system to control the Salmonella hazard,
will require industry to use effective methods to control Salmonella in
NRTE breaded stuffed chicken products regardless of whether FSIS
collects an inspection verification sample. FSIS included the cost for
establishment-led sampling and testing in the CBA. Establishment-led
sampling is an establishment HACCP validation and verification activity
that would allow for establishments to support the adequacy of their
HACCP system to control the Salmonella hazard at one or more steps in
the process and verify that they are producing NRTE breaded stuffed
chicken products with less than 1 CFU/g Salmonella.
Establishments may implement additional interventions to reduce the
pathogen loads on their chicken component, but since FSIS did not
receive specific comments on the interventions that establishments
would use to reduce the Salmonella levels on the product, the cost of
interventions are not included in the total cost estimate. Though the
cost of interventions is not
[[Page 35048]]
included in the CBA, establishments would only adopt new interventions
if the new interventions and the cost to implement interventions is
more beneficial than diverting or destroying product. Any new
interventions used should offset the cost of diverted or destroyed
product already accounted for in the CBA.
Comment: A poultry products trade association stated that the
benefits of the proposed determination would need to be greater than
estimated to achieve the breakeven effect noted in FSIS' CBA, as costs
were underestimated. According to the commenter, the use of the Grocery
Manufacturers Association (GMA) data does not address the specific
nature of recalls for this product class, and the CBA should account
for every recall and not every outbreak. The commenter also argued that
since trends show the number of outbreaks in these products has
decreased over the years, industry may already be implementing
interventions and trending toward less outbreaks through voluntary
actions.
Response: FSIS disagrees that costs are underestimated and that
benefits need to be higher for the final breakeven analysis. FSIS also
disagrees that the GMA report \106\ is not in scope for NRTE breaded
stuffed chicken products. The GMA report is based on survey results
from 36 companies and nearly 91 percent of respondents came from the
food and beverage industry. FSIS used this report to determine the
average impact of a recall on industry. The cost of recalls in NRTE
breaded stuffed chicken products would be similar to the cost of
recalls averaged over other food products represented in the GMA
report.
While the number of outbreaks has slowed slightly in recent years,
outbreaks are still occurring regularly, and we have no reason to
believe that there would be a downward trend absent this new policy.
The most recent 2021 outbreak resulted in more hospitalizations than
any of the 14 other NRTE breaded stuffed chicken product outbreaks,
with 36 illnesses, and 12 hospitalizations (88 FR 26258-26259).
Salmonella outbreaks have been disproportionately associated with NRTE
breaded stuffed chicken products, which account for less than 0.15
percent of the total domestic chicken supply yet represented
approximately five percent of all chicken-associated outbreaks in the
United States (88 FR 26252). Based on the available data, FSIS believes
that a downward trend in Salmonella outbreaks and illnesses from NRTE
breaded stuffed chicken can only be achieved by a policy change. The
new policy is expected to cause industry to use more effective methods
to control for Salmonella in NRTE breaded stuffed chicken products,
including diverting, or destroying chicken components with Salmonella
levels at or over the 1 CFU/g limit.
O. Additional Action
Comment: One individual stated that, in addition to the actions
discussed in the proposed determination, FSIS should incentivize
establishments to only implement validated control programs in their
HACCP Systems.
Response: FSIS regulations at 9 CFR 417.4(a) require that every
establishment validate their HACCP plan's adequacy in controlling the
food safety hazards identified during the hazard analysis and verify
that the plan is being effectively implemented. Therefore,
establishments are currently required to implement control programs
into their HACCP Systems that are validated. FSIS has published
guidance for industry on how to validate their HACCP Systems.\83\
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\83\ FSIS Compliance Guideline: HACCP Systems Validation. April
2015. Available at: https://www.fsis.usda.gov/sites/default/files/import/HACCP_Systems_Validation.pdf.
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Comment: In addition to the actions discussed in the proposed
determination, a consumer advocacy organization suggested that FSIS
create final product standards for all poultry products contaminated
with Salmonella.
Response: This determination is only concerned with Salmonella in
NRTE breaded stuffed chicken products. The recommendation is, thus,
outside the scope of the proposed determination. FSIS intends to
address issues related to Salmonella illnesses associated with other
raw poultry products separately through the Salmonella Framework
Initiative.\84\
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\84\ FSIS, Proposed Regulatory Framework to Reduce Salmonella
Illnesses Attributable to Poultry, available https://www.fsis.usda.gov/inspection/inspection-programs/inspection-poultry-products/reducing-salmonella-poultry/proposed.
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Comment: One animal welfare organization noted that stress can
cause or exacerbate Salmonella infections in live poultry and, thereby,
increase contamination in final products. Thus, in addition to the
actions discussed in the proposed determination, the commenter asked
FSIS to consider strategies to minimize the time poultry spend awaiting
slaughter, protect live poultry from severe environmental conditions
during holding, ensure stun baths are designed to prevent pre-stun
shocks, and otherwise minimize stress, bruising, and injury to birds
during transport.
Response: The final determination is concerned with Salmonella in
NRTE breaded stuffed chicken products and specifically, establishing an
adulteration threshold, and inspection verification of the new policy.
Thus, the commenters' suggestions are not within the scope of this
action. However, FSIS guidance specifically addresses best practices to
control Salmonella prior to and during slaughter and processing.\85\
FSIS inspection program personnel (IPP) also routinely verify that
poultry establishments operate in accordance with Good Commercial
Practices, which includes the employment of humane methods of handling
and slaughtering.\86\
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\85\ FSIS Guideline for Controlling Salmonella in Raw Poultry.
June 2021. Available at: https://www.fsis.usda.gov/sites/default/files/media_file/2021-07/FSIS-GD-2021-0005.pdf.
\86\ FSIS Directive 6110.1, Verification of Poultry Good
Commercial Practices, available at: https://www.fsis.usda.gov/policy/fsis-directives/6110.1.
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Comment: An industry member asked FSIS to partner with the U.S.
Food and Drug Administration (FDA) to implement the 1 CFU/g standard
for other RTE items such as peanut butter, lettuce, tomatoes, and other
goods that have been linked to Salmonella outbreaks so there is a
consistent standard for all such products.\87\ Another industry member
recommended that FSIS partner with universities to develop education
programs aimed at ensuring that robust statistical process control
systems are implemented at establishments. The commenter also asked
FSIS to work with the USDA Animal and Plant Health Inspection Service
to promote vaccine approval, and with other Federal partners to develop
more widespread salmonellosis risk assessments.
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\87\ Foodborne illness source attribution estimates for 2019 for
Salmonella, Escherichia coli O157, Listeria monocytogenes, and
Campylobacter using multi-year outbreak surveillance data, United
States. The Interagency Food Safety Analytics Collaboration (IFSAC);
October 2021.
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Response: Recommendations, petitions, and comments on non-FSIS-
regulated food products should be directed to FDA. FSIS regularly
partners with Federal and State health partners and academia to address
issues pertaining to Salmonella in FSIS-regulated products. FSIS will
continue these partnerships to ensure food safety and further consumer
protections.
Comment: A poultry products trade association and an industry
member stated that FSIS should amend 9 CFR 381.173 and 381.174 to
prohibit mechanically separated chicken (MSC) from being used as a
component of NRTE breaded stuffed chicken products.
[[Page 35049]]
Response: At this time, FSIS does not believe that 9 CFR 381.173
and 381.174 need to be revised because, under this determination, all
source material received and used to produce NRTE breaded stuffed
chicken must be considered in the establishment's hazard analysis to
support the Salmonella hazard control required and intended by the
HACCP system. Any raw chicken components establishments use to produce
NRTE breaded stuffed chicken, including MSC, will be subject to FSIS'
food safety inspection verification. MSC must also appear in the
ingredients statement.
P. Alternatives to the Proposed Action
Comment: In lieu of the proposed action, a poultry products trade
association and an industry member stated that FSIS should take the
actions described in the 2022 supplement to the National Chicken
Council's 2016 petition \88\ and otherwise focus on improved labeling
for NRTE breaded stuffed chicken products.
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\88\ FSIS Petition 16-03, Establish Labeling Requirements for
Not-Ready-To-Eat Stuffed Chicken Products. Originally submitted on
May 24, 2016. Supplemented on February 25, 2022. Available at:
https://www.fsis.usda.gov/federal-register/petitions/establish-labeling-requirements-not-ready-eat-stuffed-chicken-products.
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Response: As discussed throughout the proposed determination and
above, over the years, establishments have repeatedly updated their
NRTE breaded stuffed chicken product labeling practices in response to
reoccurring illness outbreaks caused by these products in an attempt to
reduce future instances of salmonellosis. However, these attempts have
been unsuccessful. Thus, FSIS does not believe codifying special
labeling requirements for NRTE breaded stuffed chicken products is
likely to address the Salmonella concerns related to these types of
products.
Comment: In lieu of the proposed action, a poultry products trade
association stated that FSIS should, amongst other actions, require all
NRTE breaded stuffed chicken to reassess their HACCP plan, noting that
FSIS has taken similar approaches in the past.
Response: HACCP system regulations require that every establishment
reassess the adequacy of its HACCP plan at least annually and whenever
any changes occur that could affect the underlying hazard analysis or
alter the HACCP plan (9 CFR 417.4(a)(3)). This final determination that
Salmonella at levels of 1 CFU/g or higher is an adulterant in NRTE
breaded stuffed chicken products constitutes such a change. Thus, all
establishments that produce NRTE breaded stuffed chicken products must
reassess their HACCP plans. Establishments that make changes to their
production process as a result of their reassessment would also need to
re-validate their HACCP plans. FSIS will issue instructions to IPP in
establishments that produce NRTE breaded stuffed chicken products to
verify that these establishments have completed their reassessment
before the effective date of this final determination. That said, FSIS
does not believe that a HACCP reassessment, in the absence of a change
in policy, is likely to be a sufficient option to address the
Salmonella concerns related to these types of products. As discussed in
the proposed determination, FSIS believes the appropriate response to
protect public health is to ensure that NRTE breaded stuffed chicken
products contaminated with Salmonella at levels sufficient to cause
human illness are excluded from commerce.
Comment: In lieu of the proposed action, a poultry products trade
association and meat industry research institute suggested that FSIS,
amongst other things, develop guidance for processing NRTE breaded
stuffed chicken products to reinforce best practices and help small
establishments.
Response: FSIS currently has several applicable industry guidance
resources available. FSIS has, for example, published industry guidance
on NRTE breaded stuffed chicken product labeling \89\ and industry
guidance for controlling Salmonella in raw poultry to assist
establishments that slaughter or process raw poultry products to
prevent and minimize the risk of Salmonella in their operations.\90\
These documents contain best practices and recommendations for industry
to consider in their food safety system(s). FSIS will continue to
publish and revise relevant guidance, as needed. However, FSIS does not
believe that new or updated guidance, in the absence of a change in
policy, is likely to be a sufficient option to address the Salmonella
concerns related to these types of products.
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\89\ FSIS Labeling Policy Guidance: Uncooked, Breaded, Boneless
Poultry Products. Available at: https://www.fsis.usda.gov/sites/default/files/import/Labeling_Policy_Guidance_Uncooked_Breaded_Boneless_Poultry_Products.pdf.
\90\ FSIS Guideline for Controlling Salmonella in Raw Poultry.
June 2021. Available at: https://www.fsis.usda.gov/sites/default/files/media_file/2021-07/FSIS-GD-2021-0005.pdf.
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Comment: In lieu of the proposed action, a poultry products trade
association stated that FSIS should, amongst other things, conduct food
safety assessments (FSAs) at establishments producing NRTE breaded
stuffed chicken products to verify that food safety systems are being
implemented properly for these products. The commenter also noted that
these FSAs could also help identify best food safety practices for
producing such products.
Response: FSIS does not believe that conducting FSAs, in lieu of
this final determination, would sufficiently address the Salmonella
concerns related to these types of products.
FSIS assigns and conducts Public Health Risk Evaluations (PHREs) as
described in FSIS Directive 5100.4 \91\ using both for-cause and
routine risk-based PHRE criteria. PHREs are an analysis of
establishment performance and use risk-based criteria to determine if
FSIS will conduct an FSA. FSAs, as described in FSIS Directive
5100.1,\92\ are conducted to assess an establishment's food safety
system and verify that meat, poultry, or egg products are safe,
wholesome, and produced in accordance with FSIS statutory and
regulatory requirements. FSIS will continue to conduct PHREs and FSAs
following the criteria described in these FSIS Directives at
establishments that produce NRTE breaded stuffed chicken products.
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\91\ FSIS Directive 5100.4, Public Health Risk Evaluation
Methodology, available at:https://www.fsis.usda.gov/sites/default/files/media_file/2021-08/5100.4.pdf.
\92\ FSIS Directive 5100.1, Public Health Risk Evaluation
Methodology, available at: https://www.fsis.usda.gov/sites/default/files/media_file/2021-08/5100.4.pdf.
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Comment: A poultry products trade association and a trade
association representing the frozen food industry stated that FSIS
should implement the recommendations outlined in NACMPI's 2021
report.\93\
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\93\ National Advisory Committee on Meat and Poultry Inspection,
Subcommittee II: Stuffed Not Ready-to-Eat Poultry Products, USDA
(Sept. 28, 2021).
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Response: As discussed in the proposed determination (88 FR 26259),
the report provided several recommendations that primarily focus on the
labeling of NRTE breaded stuffed chicken products. Specifically, the
subcommittee recommended that FSIS re-verify that companies continue to
voluntarily label NRTE breaded stuffed chicken products as raw in
several places on the label and that labels of these products include
validated cooking instructions. The subcommittee also recommended that
FSIS update the 2006 labeling guidance to warn consumers not to use
microwaves and air fryers if validated instructions are not provided
for these methods and to cook the product to a minimum of
[[Page 35050]]
165 [deg]F as measured using a food thermometer. The subcommittee
further recommended that FSIS add label verification for these products
as a recurring task for inspectors and review labels from the 2021
outbreak. In addition, the subcommittee recommended that FSIS require
establishments that produce these products to reassess their HACCP
plans in light of the outbreaks and encouraged FSIS to conduct targeted
consumer outreach regarding these types of products, including creating
an FSIS web page highlighting NRTE breaded stuffed chicken products.
The subcommittee also recommended that FSIS establish requirements for
the labeling of NRTE breaded stuffed chicken products and publish
industry guidance explaining how to validate cooking instructions for
such products.
In light of the 2021 Salmonella outbreak and earlier outbreaks
associated with these products, the Agency concluded and shared with
NACMPI in 2023 that the recommendations, which focus primarily on
product labeling and consumer handling practices, are unlikely to be
effective in preventing additional foodborne illnesses associated with
NRTE breaded stuffed chicken products. Therefore, FSIS concluded that
public health measures that focus primarily on product labeling and
consumer handling practices have not been effective in preventing
additional foodborne illnesses associated with NRTE breaded stuffed
chicken products.
III. Implementation
A. HACCP Reassessment
FSIS' regulations require that every establishment reassess the
adequacy of its HACCP plan at least annually and whenever any changes
occur that could affect the underlying hazard analysis or alter the
HACCP plan (9 CFR 417.4(a)(3)). This final determination that
Salmonella at levels of 1 CFU/g or higher is an adulterant in NRTE
breaded stuffed chicken products constitutes such a change. Thus, as
discussed in the proposed determination (88 FR 26264), FSIS is
announcing that all establishments that produce Heat Treated but Not
Fully Cooked--Not Shelf Stable NRTE breaded stuffed chicken products
must reassess their HACCP plans; establishments can reassess as part of
their annual reassessment if their annual reassessment occurs before
the effective date. Establishments that make changes to their
production process as a result of their reassessment would also need to
revalidate their HACCP plans. Prior to the effective date of this final
determination, FSIS will issue instructions to IPP in establishments
that produce NRTE breaded stuffed chicken products to verify that these
establishments have completed their reassessment. Establishments must
complete the reassessment and revalidate their HACCP plans by May 1
2025.
B. Implementation and Status of Laboratory Methods
As explained in the proposed determination (88 FR 26264-26266),
FSIS will implement routine sampling and verification testing for
Salmonella in NRTE breaded stuffed chicken products. In the proposed
determination (88 FR 26264), FSIS stated that it would collect samples
from the chicken component of a NRTE breaded stuffed chicken product
prior to breading and stuffing after the establishment had completed
all the processes needed to prepare the chicken to be stuffed and
breaded. However, in response to public comments, FSIS has decided to
modify the proposed verification sampling location to give
establishments greater flexibility to divert source components for
other appropriate uses and, thereby, lower lost product costs.
Therefore, instead of collecting verification samples after the
establishment has completed all processes needed to prepare the chicken
component to be stuffed and breaded to produce a final NRTE breaded
stuffed chicken product, as was proposed, FSIS will collect
verification samples on the raw incoming chicken components used to
produce NRTE breaded stuffed chicken product. In implementing sampling
and verification testing for these products, FSIS will consider the
production process at each impacted establishment and the Agency's
ability to collect samples safely and effectively.
FSIS intends to perform, evaluate, determine, and report whole
genome sequencing (WGS), serotype, levels, and antimicrobial resistance
(AMR) profile for Salmonella isolates identified.\94\ As noted in the
proposed determination (88 FR 26262), FSIS intends to continuously
evaluate and, if necessary, refine the status of Salmonella as an
adulterant in NRTE breaded stuffed chicken products as advances in
science and technology related to pathogen levels, serotypes, virulence
genes, and product matrices become available. FSIS will likewise refine
its sampling and verification testing for these products, as needed.
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\94\ This information would be reported as with any test result.
Inspectors would get result through the Public Health Information
System (PHIS). FSIS would report out through Laboratory Information
Management System (LIMS) Direct for industry as well as the result
would be in the new PHIS sample result history report. The results
would also be in public release data sets that the Agency does
quarterly. The WGS data would also be uploaded to NCBI as are other
Salmonella isolates.
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The detection and isolation methodology for Salmonella is described
in chapter 4.14, of the FSIS Microbiology Laboratory Guidebook
(MLG).\95\ When sampling the raw incoming chicken components of NRTE
breaded stuffed chicken products under this final determination, FSIS
will collect one pound of the selected incoming chicken component from
the establishment to analyze 325 grams per test for Salmonella. Samples
will be initially screened, post-enrichment, for the presence or
absence of Salmonella. Samples that screen negative will be reported as
``negative.'' For samples that screen positive, FSIS will then analyze
Salmonella levels. Potential positives that screen positive for
Salmonella presence and contain levels >=1 CFU/g will then be analyzed
using selective and differential culture-based media to identify the
presumptive positive samples. Presumptive positives will then be
confirmed by molecular-based mass spectrometric identification. A
sample is only considered a ``confirmed positive'' for Salmonella after
completion of both cultural and confirmatory testing. If any chicken
component is ``confirmed positive'' with Salmonella levels of 1 CFU/g
or higher, the entire sampled lot will need to be diverted to a use
other than NRTE breaded stuffed chicken products. Any NRTE breaded
stuffed chicken products that contain a chicken component from a
sampled lot confirmed positive with Salmonella levels of 1 CFU/g or
higher prior to stuffing and breading will be considered adulterated
and excluded from commerce.
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\95\ FSIS Microbiology Laboratory Guidebook available at:
https://www.fsis.usda.gov/news-events/publications/microbiology-laboratory-guidebook.
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FSIS estimates that negative results will routinely be available
within two days of sample collection, assuming overnight sample transit
to the laboratory coupled with an overnight sample enrichment followed
by screening and quantification at the laboratory. Enumeration is
conducted from the same sample as screen testing and both results will
be reported on the same day. For samples that are potential positives,
an additional 3 days may be necessary for a confirmed positive or
negative result. These timeframes and methods may change as FSIS
incorporates new laboratory
[[Page 35051]]
technologies into its sampling and verification testing.\96\
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\96\ For example, on July 8, 2022, FSIS announced that it had
awarded a contract to bioM[eacute]rieux to incorporate its non-
enrichment quantification system for Salmonella, `GENE-
UPTM QUANT Salmonella,' into the Agency's laboratory
system. The Agency evaluated commercially available quantification
systems and determined that this technology is the most appropriate
for use in the high throughput FSIS laboratory environment. FSIS
stated that in the future, the Agency would announce when the method
is available and when it will be implemented in all three FSIS food
testing laboratories. FSIS also stated that it plans to extend
pathogen quantification technology to sample types other than raw
poultry rinses in the future (see FSIS Constituent Update, Jul 8,
2022, FSIS to include Salmonella Quantification in Raw Poultry Rinse
Samples. Available at: https://www.fsis.usda.gov/news-events/news-
press-releases/constituent-update-july-8-
2022#:~:text=Salmonella%20quantification%20is%20a%20significant%20ste
p%20in%20FSIS%E2%80%99,regulatory%20sample%2C%20not%20solely%20its%20
presence%20or%20absence.
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FSIS does not intend to begin the sampling and verification testing
discussed in this final determination until May 1, 2025. This should
give establishments enough time to adjust their relevant procedures and
processes to facilitate such sampling and testing.
C. Sampled Lot
When FSIS tests a product for adulterants, the Agency withholds its
determination as to whether product is not adulterated, and thus
eligible to enter commerce, until all test results that bear on the
determination have been received.\97\ Under this policy, establishments
must maintain control of products tested for adulterants to ensure that
the products do not enter commerce while waiting for receipt of the
test results. Thus, when FSIS samples raw incoming chicken components
intended for use in NRTE breaded stuffed chicken products,
establishments will need to control and maintain the integrity of the
sampled chicken components (i.e., the sampled lots) pending the
availability of test results. As noted above, establishments may
incorporate sampled lots into finished NRTE breaded stuffed chicken
products, so long as those finished products remain under establishment
control awaiting test results.
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\97\ Not Applying the Mark of Inspection Pending Certain Test
Results, 77 FR 73401, December 10, 2012.
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FSIS IPP will give establishments that produce NRTE breaded stuffed
chicken product advance notice before they collect a product sample for
verification testing to give the establishment enough time to hold or
control the sampled lot. Establishments are responsible for providing a
supportable basis for defining the sampled lot. For sampling purposes,
production lots should be defined such that they are microbiologically
independent. Microbiological independence is documented by separation,
(e.g., physical, temporal, or by sanitation intervention), that clearly
delineates the end of one production lot and the beginning of the next.
The microbiological results from one test are independent of prior or
later lots. In other words, if a chicken component sample collected
prior to stuffing and breading tests positive for Salmonella at a level
of 1 CFU/g or higher, products from other chicken component lots should
not be implicated if the lots are microbiologically independent.
Generally, FSIS recommends that establishments develop and
implement in-plant sampling plans that define production lots or sub-
lots that are microbiologically independent of other production lots or
sub-lots. Production lots that are so identified may bear distinctive
markings on the shipping cartons. FSIS has issued guidance to help
establishments comply with the requirement that product that FSIS has
tested for adulterants does not enter commerce until test results
become available.\98\ FSIS intends to update the guidance to add NRTE
breaded stuffed chicken products. In addition to providing guidance on
adequate control measures establishments can implement for products
tested for adulterants, the document also includes guidance on how
establishments can define a product lot in order to determine the
amount of product that must be controlled pending test results. Before
implementation, FSIS will update the guidance to cover sampling and
verification testing for Salmonella in the selected raw incoming
chicken components intended for use in NRTE breaded stuffed chicken
products.
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\98\ FSIS Compliance Guideline: Controlling Meat and Poultry
Product Pending FSIS Test Results (2013) at: https://www.fsis.usda.gov/guidelines/2013-0003.
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D. State Programs and Foreign Government Programs
States that have their own poultry inspection programs for poultry
products produced and transported solely within the State are required
to have mandatory ante-mortem and post-mortem inspection, reinspection,
and sanitation requirements that are at least equal to those in the
PPIA (21 U.S.C. 454(a)(1)). In accordance with this final
determination, these States will need to adopt sampling procedures and
testing methods to detect Salmonella at 1 CFU/g or above in the chicken
component in NRTE breaded stuffed chicken products that are at least
equal to FSIS' procedures and testing methods for State-inspected
establishments that produce these products.\99\ Any State participating
in a Cooperative Interstate Shipment Program will need to adopt FSIS'
sampling procedures and testing methods to detect Salmonella at 1 CFU/g
or above in NRTE breaded stuffed chicken products in selected
establishments that produce these products for shipment in interstate
commerce that are the ``same as'' those utilized by FSIS (21 U.S.C.
472).
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\99\ FSIS is not aware of any State-inspected establishments
that produce NRTE stuffed chicken products.
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Foreign countries that are eligible to export poultry products to
the United States must apply inspection, sanitation, and other
standards that are equivalent to those that FSIS applies to those
products (21 U.S.C. 466). At this time, no foreign countries export
NRTE breaded stuffed chicken products to the United States. As
discussed in the proposed determination (88 FR 26267), in evaluating a
foreign country's poultry products inspection system to determine the
country's eligibility to export NRTE breaded stuffed chicken products
to the United States, FSIS would consider whether the sampling
procedures and testing methods the country uses to detect Salmonella at
1 CFU/g in these products are equivalent to those that FSIS uses.
IV. Anticipated Costs and Benefits of This Final Determination
FSIS has considered the economic effects of this determination and
has updated the final CBA in response to public comments. In the final
CBA, FSIS updated the estimated costs and benefits for the final policy
from those published in the preliminary CBA from 2021 to 2022 dollars.
Also, in response to public comments, FSIS updated the assumed lot size
for FSIS and industry sampling, included a range of wages, updated the
assumed type of employee that will conduct establishment led sampling,
and updated the assumptions used to estimate cold storage time and
costs. With input from the Centers for Disease Control and Prevention
(CDC), the Agency included an under-reporting multiplier of 25.5 to
estimate the actual number of Salmonella illnesses associated with
outbreaks from NRTE breaded stuffed chicken products.100 101
[[Page 35052]]
In the final determination, the Agency also includes an estimated
opportunity cost for the Agency to implement the new sampling and
testing program and updated the impact on small businesses
analysis.\102\ The full analysis is available at: https://www.regulations.gov/docket/FSIS-2022-0013/document.
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\100\ Scallan E, Hoekstra RM, Angulo FJ, Tauxe RV, Widdowson MA,
Roy SL, Jones JL, Griffin PM. Foodborne illness acquired in the
United States--major pathogens pdf icon [PDF--9 pages]. Emerging
Infectious Diseases. 2011;17(1):7-15: https://www.ncbi.nlm.nih.gov/pmc/articles/PMC3375761/.
\101\ FSIS used the under-reporting multiplier of 25.5 estimated
in Scallan et al. for a group of pathogens for which only outbreak
data were available to approximate the total number of cases for
NRTE stuffed chicken products. FSIS used this under-reporting
multiplier as only outbreak data is available for NRTE stuffed
chicken products.
\102\ As noted by the Office of Management and Budget in the
Circular No. A-4 published on November 9, 2023. Opportunity costs
``is the cost attributable to a regulation if an agency will be
performing enforcement activities or otherwise using resources in
connection with that regulation, even if the agency's budget is not
increasing.'' https://www.whitehouse.gov/wp-content/uploads/2023/11/CircularA-4.pdf. Accessed on 02/15/2024.
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Summary of Estimated Costs and Benefits
The final determination is expected to impact six domestic
establishments and cost industry at least $5.29 million annually,
assuming a 7 percent discount rate over a ten-year period. These costs
are associated with HACCP plan reassessments, holding sampled chicken
components or finished products in storage awaiting FSIS test results,
the costs associated with developing and implementing an establishment-
conducted sampling program and destroying or diverting the chicken
components of NRTE breaded stuffed chicken with Salmonella levels at or
over the 1 CFU/g limit. Industry may also incur other costs associated
with their individual responses to this policy, including applying
interventions, training, product reformulation and label changes, and
subsequent HACCP plan validation. However, based on public comments,
the Agency does not expect establishments to make these changes. If
establishments were to implement these additional changes, then we
would expect both additional costs and benefits. The Agency would incur
an opportunity cost of $0.02 million associated with sampling and
testing for Salmonella., FSIS will be able to shift existing resources
as necessary to conduct sampling, testing, and associated FSAs to
implement the final determination. The estimated total cost for this
policy is $5.31 million: $5.29 million in costs to industry and $0.02
million in opportunity costs for FSIS, assuming a 7 percent discount
rate over a 10-year period.
The estimated benefits for this policy are derived from preventing
outbreak-related recalls.\103\ Each prevented outbreak-related recall
has an estimated benefit of $34.99 million ($1.42 million in health
benefits + $33.57 million in industry benefits). Between 2006 and 2021
there was one outbreak every 1.36 years on average (15 years / 11
outbreaks). Total benefits will exceed total costs if the new policy
prevents at least 1 outbreak-related recall every 6.6 years ($34.99
million / $5.31million).\104\ Though the policy may not prevent every
possible outbreak-related recall, the Agency expects it will prevent at
least 1 every 6.6 years.
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\103\ Though each reported outbreak between 2006 and 2021 did
not result in a recall, FSIS assumes there is a risk of recall with
each possible Salmonella outbreak.
\104\ Numbers may not add up due to rounding.
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Without this policy, there is a higher risk of Salmonella illnesses
from NRTE breaded stuffed chicken products. When only considering
health benefits, the policy would break-even if 1,134 illnesses were
avoided annually ($5.31 million / $4,682).\105\ The smallest number of
cases associated with an outbreak from NRTE breaded stuffed chicken
products occurred in 2009, with 2 reported cases, which represents an
estimated 51 cases and a cost burden of $0.24 million, when applying
the under-reporting multiplier of 25.5.\106\ The largest number of
reported cases associated with outbreaks occurred between 2008-2009,
with 47 reported cases, which represents 1,199 estimated cases and a
cost burden of $5.6 million, when applying the under-reporting
multiplier.107 108 Despite proper labeling, the most recent
outbreak in 2021 occurred with 36 reported cases, which represents 918
estimated cases and a cost burden of $4.3 million. In the final
determination, FSIS is declaring NRTE breaded stuffed chicken products
that contain Salmonella at levels of 1 CFU/g or higher adulterated.
FSIS intends to carry out verification procedures, including sampling
and testing of the raw incoming chicken components used to produce NRTE
breaded stuffed chicken products, to verify that producing
establishments do not produce adulterated products. This determination,
and the associated FSIS verification procedures, should decrease the
number of illnesses associated with Salmonella in NRTE breaded stuffed
chicken products.
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\105\ Number rounded to the nearest whole number.
\106\ Scallan E, Hoekstra RM, Angulo FJ, Tauxe RV, Widdowson MA,
Roy SL, Jones JL, Griffin PM. Foodborne illness acquired in the
United States--major pathogens pdf icon [PDF--9 pages]. Emerging
Infectious Diseases. 2011;17(1):7-15: https://www.ncbi.nlm.nih.gov/pmc/articles/PMC3375761/.
\107\ Food Safety and Inspection Service, USDA. Salmonella in
Not Ready-To-Eat Breaded Stuffed Chicken Products. Final
Determination. Docket No. FSIS-2022-0013, available at: https://www.regulations.gov/docket/FSIS-2022-0013.
\108\ The FSIS estimate for the cost of Salmonella-related
illness $4,682 per case, (2022 dollars) was developed using the
USDA, Economic Research Service, Cost Estimates of Foodborne Illness
Salmonella (October 2014) updated for inflation. https://www.ers.usda.gov/data-products/cost-estimates-of-foodborne-illnesses/. The cost model accounts for medical costs (including
hospitalizations), premature death and productivity loss. Numbers
may not calculate due to rounding.
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Impact on Small Businesses
In the CBA, FSIS defines high-volume establishments as
establishments that produce at least 1 million pounds of NRTE breaded
stuffed chicken products annually and low-volume establishments as
establishments that produce less than 1 million pounds annually. Using
these categories, three of the six establishments that produce NRTE
stuffed chicken products were classified as high-volume, and three
establishments as low volume. All three of the low-volume
establishments are HACCP size small or very small.\109\ FSIS expects
the cost burden of this determination on low-volume establishments
would be under 4.2 percent of the estimated revenue from NRTE stuffed
chicken for these three establishments. Establishments are not required
to develop and implement their own sampling programs in response to
this determination. If establishments chose to avoid these voluntary
costs, the final determination is estimated to cost low-volume
establishments about 1.9 percent of estimated revenue from NRTE breaded
stuffed chicken products produced at these three establishments. In
addition, nearly 90 percent of production at two of the three low-
volume establishments is product other than NRTE breaded stuffed
chicken. Thus, the impact of this final determination would represent a
smaller percentage of these establishments' overall total revenue.
Further, once the policy is implemented, FSIS does not intend to begin
the FSIS sampling and the verification testing discussed in the final
determination until 12 months after the date of publication in the
Federal Register. A small business would have this time to prepare for
changes, lowering the burden. Finally, establishments needing monetary
assistance with this new policy may be able to take advantage of the
grants and financial options available to small
[[Page 35053]]
establishments, reducing potential burden. More information on these
loans and grants can be found on the FSIS website.\110\
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\109\ Under the HACCP size definitions, large establishments
have 500 or more employees, small establishments have between 10 and
499 employees, and very small establishments have less than 10
employees or less than $2.5 million in annual revenue. 61 FR 38806.
\110\ Grants and Financial Options, USDA FSIS https://www.fsis.usda.gov/inspection/apply-grant-inspection/grants-financial-options.
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V. USDA Non-Discrimination Statement
In accordance with Federal civil rights law and USDA civil rights
regulations and policies, USDA, its Mission Areas, agencies, staff
offices, employees, and institutions participating in or administering
USDA programs are prohibited from discriminating based on race, color,
national origin, religion, sex, gender identity (including gender
expression), sexual orientation, disability, age, marital status,
family/parental status, income derived from a public assistance
program, political beliefs, or reprisal or retaliation for prior civil
rights activity, in any program or activity conducted or funded by USDA
(not all bases apply to all programs). Remedies and complaint filing
deadlines vary by program or incident.
Program information may be made available in languages other than
English. Persons with disabilities who require alternative means of
communication to obtain program information (e.g., Braille, large
print, audiotape, American Sign Language) should contact the
responsible Mission Area, agency, or staff office; the USDA TARGET
Center at (202) 720-2600 (voice and TTY).
To file a program discrimination complaint, a complainant should
complete a Form AD-3027, USDA Program Discrimination Complaint Form,
which can be obtained online at https://www.usda.gov/forms/electronicforms, from any USDA office, by calling (866) 632-9992, or by
writing a letter addressed to USDA. The letter must contain the
complainant's name, address, telephone number, and a written
description of the alleged discriminatory action in sufficient detail
to inform the Assistant Secretary for Civil Rights (ASCR) about the
nature and date of an alleged civil rights violation. The completed AD-
3027 form or letter must be submitted to USDA by:
(1) Mail: U.S. Department of Agriculture, Office of the Assistant
Secretary for Civil Rights, 1400 Independence Avenue SW, Washington, DC
20250-9410;
(2) Fax: (833) 256-1665 or (202) 690-7442; or
(3) Email: usda.gov">program.intake@usda.gov.
USDA is an equal opportunity provider, employer, and lender.
VI. Additional Public Notification
Public awareness of all segments of rulemaking and policy
development is important. Consequently, FSIS will announce this Federal
Register publication on-line through the FSIS web page located at:
https://www.fsis.usda.gov/federal-register. FSIS also will make copies
of this publication available through the FSIS Constituent Update,
which is used to provide information regarding FSIS policies,
procedures, regulations, Federal Register notices, FSIS public
meetings, and other types of information that could affect or would be
of interest to our constituents and stakeholders. The Constituent
Update is available on the FSIS web page. Through the web page, FSIS is
able to provide information to a much broader, more diverse audience.
In addition, FSIS offers an email subscription service which provides
automatic and customized access to selected food safety news and
information. This service is available at: https://www.fsis.usda.gov/subscribe. Options range from recalls to export information,
regulations, directives, and notices. Customers can add or delete
subscriptions themselves and have the option to password protect their
accounts.
Paul Kiecker,
Administrator.
[FR Doc. 2024-09393 Filed 4-30-24; 8:45 am]
BILLING CODE 3410-DM-P