94-7217. Mandatory Safe Handling Statements on Labeling of Raw Meat and Poultry Products  

  • [Federal Register Volume 59, Number 59 (Monday, March 28, 1994)]
    [Unknown Section]
    [Page ]
    From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
    [FR Doc No: 94-7217]
    
    
    [Federal Register: March 28, 1994]
    
    
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    Part X
    
    
    
    
    
    Department of Agriculture
    
    
    
    
    
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    Food Safety and Inspection Service
    
    
    
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    9 CFR 317 and 381
    
    
    
    Mandatory Safe Handling Statements on Labeling of Raw Meat and Poultry 
    Products; Final Rule
    DEPARTMENT OF AGRICULTURE
    
    Food Safety and Inspection Service
    
    9 CFR Parts 317 and 381
    
    [Docket No. 93-026F]
    RIN 0583-AB67
    
    
    Mandatory Safe Handling Statements on Labeling of Raw Meat and 
    Poultry Products
    
    AGENCY: Food Safety and Inspection Service, USDA.
    
    ACTION: Final rule.
    
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    SUMMARY: The Food Safety and Inspection Service (FSIS) is amending the 
    Federal meat and poultry products inspection regulations to make safe 
    handling instructions mandatory on all raw meat and poultry product 
    labeling. The handling instructions include a rationale statement and 
    address safe storage of raw product, prevention of cross-contamination, 
    cooking of raw product, and handling of leftovers. The rule provides 
    additional safeguards to protect consumers from exposure to possible 
    bacterial contaminants found in raw meat and poultry products. This 
    action is being taken in an effort to reduce the risk of foodborne 
    illness.
    
    DATES: This regulation is effective May 27, 1994. The compliance date 
    for comminuted meat and poultry products is May 27, 1994, and the 
    compliance date for all other meat and poultry products is July 6, 
    1994.
    
    FOR FURTHER INFORMATION CONTACT: Patrick J. Clerkin, Director, 
    Evaluation and Enforcement Division, Regulatory Programs, Food Safety 
    and Inspection Service, U.S. Department of Agriculture, Washington, DC 
    20250, (202) 254-2537.
    
    SUPPLEMENTARY INFORMATION:
    
    Executive Order 12866
    
        In publishing the proposal on November 4, 1993 (58 FR 58922), the 
    Agency stated that it had determined that the proposed rule was a 
    significant regulatory action under Executive Order 12866 because the 
    action would likely raise policy issues arising out of the principles 
    set forth in the Executive Order. The proposal advocated a significant 
    new policy direction that would require safe handling instructions on 
    raw and partially cooked meat and poultry products to further combat 
    foodborne illness.
        The Agency published an economic analysis for comment in the 
    preamble to the proposed rule. That analysis incorporated comments 
    received in response to an earlier interim rule (58 FR 43478). As 
    discussed in the proposal, a preliminary economic analysis was 
    published for comment in the preamble of that interim rule. Most 
    comments addressed the cost of the rule.
        In contrast to the earlier interim rule, the proposal generated 
    relatively few comments that criticized the analysis and the 
    assumptions behind the analysis. Presumably, the fewer critical 
    comments reflected the modifications that were made in response to data 
    supplied in comments on the preliminary analysis published with the 
    interim rule. Comments on the modified analysis published with the 
    proposal are discussed in the following paragraphs.
        At least one commenter misunderstood the statement that: ``The 
    Department also anticipates that stores will utilize point-of-purchase 
    materials that will minimize any labor costs.'' The commenter stated 
    that the assertion was inaccurate because the proposed rule does not 
    allow for point-of-purchase information except as a supplement to the 
    label on each package. This statement was referring to the period after 
    the effective date and before April 15, 1994. Under the proposal, 
    before April 15, 1994, official establishments and retailers would be 
    allowed alternative approaches, such as point-of-purchase materials, 
    for affected products other than comminuted products. The Agency 
    included the above statement to acknowledge that there would be some 
    labor costs associated with point-of-purchase materials, but that such 
    costs could easily minimized.
        The same commenter pointed out that many stores, especially smaller 
    ones, do not have label application guns and questioned basing the 
    estimate for labor costs on the use of label application guns. The 
    Agency was not implying that it believes that most retail stores 
    currently have label guns. However, since hand-held label application 
    guns are low cost option for applying safe handling instructions, the 
    Department would expect to see widespread use of such equipment.
        One commenter stated that USDA has dismissed, based upon non-public 
    information, the cost estimates provided by the regulated industry 
    regarding label costs. The reference to non-public information is 
    related to the statement in the proposal that ``Discussions with label 
    manufacturers indicate that the lower prices are available for even 
    small quantities.''
        The proposal points out that the preliminary analysis (published 
    with the interim rule) estimated that the cost of an additional 
    pressure-sensitive label would range from $.01 to $.025. That estimate 
    was based on discussions with label manufacturers and/or wholesale 
    distributors. Most of the comments on the interim rule suggest that the 
    preliminary estimate was accurate. In fact, the most frequent response 
    was that the labels would cost $.01 each. The proposal acknowledged 
    that some comments including one from the U.S. Small Business 
    Administration suggested that some retail firms were paying more. 
    Because the comments on the interim rule are more compelling evidence 
    than provided by the earlier discussions with label manufacturers, the 
    quoted sentence would have been better stated as ``Comments on the 
    interim rule support the preliminary estimate that the lower prices are 
    available for even small quantities.''
        With respect to the comment on non-public information, the process 
    of conducting a preliminary regulatory cost analysis involves a wide 
    mix of formal surveys and informal information gathering. In this case 
    the preliminary estimate was based on informal discussions with 4 or 5 
    manufacturers and/or wholesale distributors of pressure-sensitive 
    labels and the fact that pressure-sensitive address labels are widely 
    advertised at costs ranging from $.01 to $.025. Because the details of 
    the specific label were not available the discussions were limited to 
    general questions concerning the range of costs and the relationship 
    between label size and cost. The information collected was not recorded 
    by name of firm. Individual firm confidentiality is also a standard 
    practice for more formal cost surveys. For example, in conducting the 
    regulatory impact analysis for the nutrition labeling rule, a survey 
    was mailed to 650 meat and poultry firms. Confidentiality of individual 
    responses was assured.
        A comment from a meat industry trade association noted the lack of 
    ``hard numbers'' used in the cost-vs-benefit section. This commenter 
    specifically questioned why the Department estimated that annual deaths 
    attributable to Escherichia coli 0157:H7 could range from 146 to 389.
        The estimate referred to was published in Agricultural Outlook, 
    Economic Research Service, USDA, AO-197, June 1993. The discussion in 
    the preamble stated that ``the estimates in Table 1 were developed 
    after the epidemic outbreak of foodborne illness attributed to E. coli 
    0157:H7 in undercooked hamburgers from a fast-food chain in 1993. 
    Although the States have voted to make foodborne illness from E. coli 
    0157:H7, a disease that must be reported to the Center for Disease 
    Control and Prevention (CDC), such reporting will not be effective for 
    some time. Thus, cost estimates for E. coli should be reviewed as 
    preliminary.'' Table 1 from the proposal is repeated here also as Table 
    1.
    
                         Table 1.--Estimated Annual Costs for Selected Foodborne Pathogens, 1992                    
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                                                                                        Attributable                
                                                                                         to meat and                
                                                                        Annual medical     poultry                  
                 Pathogen\1\                   Cases          Deaths    & productivity --------------    Costs\2\   
                                                                             costs       Percent of                 
                                                                                            cases                   
    ----------------------------------------------------------------------------------------------------------------
                                                   Number       Number       $ million       Percent       $ million
                                                                                                                    
    Bacteria:                                                                                                       
        Salmonella......................        1,920,000    960-1,920     1,188-1,588            50         600-800
        Campylobacter jejuni or coli....        2,100,000      120-360       907-1,016            50         450-500
        Escherichia coli 0157:H7........     7,668-20,448      146-389         229-610            50         100-300
        Listeria monocytogenes..........      1,526-1,581      378-433         209-233            50             100
    Parasites:                                                                                                      
        Toxoplasma gondii\3\............            2,090           42           2,628           100           2,630
        Trichinella spiralis............              131            0             0.8           100               0
        Taenia saginata.................              894            0             0.2           100               0
        Taenia solium\4\................              210            0             0.1           100               0
                                         ---------------------------------------------------------------------------
          Total.........................  ...............  ...........     5,162-6,076  ............     3,880-4,330
    ----------------------------------------------------------------------------------------------------------------
    \1\Analysis assumes 100% of human illnesses are foodborne for Campylobacter, Escherichia coli, Trichinella, and 
      the Taenias and assumes 96% of Salmonella cases, 85% of Listeria cases, and 50% of Toxoplasma cases are       
      foodborne. Meat and poultry are assumed to be responsible for 100% of foodborne parasitic diseases and 50% of 
      foodborne bacterial diseases.                                                                                 
    \2\Estimates rounded.                                                                                           
    \3\Productivity losses are high for survivors who develop mental retardation or blindness as a result of        
      toxoplasmosis. These costs exclude toxoplasmic encephalitis infections in 2,250 to 10,200 AIDS patients       
      annually which are a significant cause of premature death (50% of cases may also have a foodborne origin).    
    \4\Costs are estimated at less than $0.1 million, although estimates do not include costs for cysterlcercosis   
      which may have an indirect foodborne transmission.                                                            
    Reference: Agricultural Outlook, Economic Research Service, USDA, AO-197 (June 1993), pp 32-36.                 
    
        The Agricultural Outlook publication (which was available in the 
    FSIS Hearing Clerk's office) states that ``CDC researchers estimate 
    that between 7,668 and 20,448 persons became ill from exposure to E. 
    coli 0157:H7 annually in the U.S.'' The range in estimated deaths is 
    directly related to the range in the CDC estimate for number of cases. 
    CDC researchers have estimated that 1.9 percent of the 7,668 to 20,448 
    cases result in death.
        Several comments point out that costs are affected by the effective 
    date, especially in view of the upcoming implementation date for 
    nutrition labeling. The Department agrees that costs are affected by 
    the implementation schedule. However, it is beyond the scope of the 
    cost analysis to be able to differentiate or estimate the cost savings 
    that would be attributable to processors and retailers having an 
    additional 30 or 60 days to comply. The issue of effective date is 
    discussed elsewhere under comments related to the implementation 
    schedule.
        One comment alleged that the Department did not make sufficient 
    supporting material available to the public, particularly in the area 
    of the cost and benefit analysis. The data from Table 1 represents the 
    latest and best estimates of the cost of foodborne illness prepared by 
    the Department's Economic Research Service (ERS). ERS has been 
    publishing articles on their cost of foodborne illness research for 
    more than a decade. The methodology has been refined and updated over 
    time. From the perspective of Executive Order 12866, the relevant 
    information is the available data on costs and benefits that is based 
    on the latest methodology. The Department is not obligated to identify 
    all the materials that have been published during the development and 
    refinement of these methods.
        Another comment stated that USDA failed to place on the record any 
    studies or other information relied upon by USDA regarding foodborne 
    illnesses other than E. coli 0157:H7. The Agricultural Outlook article 
    summarizes CDC findings for all foodborne diseases caused by bacterial 
    and parasitic agents.
        While recognizing that in the majority of cases, the cause is 
    unknown, CDC has found that when a source or likely source is 
    identified, approximately 50 percent of cases of all foodborne diseases 
    are associated with meat or poultry products. The CDC analysis supports 
    the ERS estimates that meat and poultry are associated with 
    approximately 50 percent of foodborne bacterial diseases.
        A supermarket chain commented that scale upgrades would cost almost 
    $500,000, or approximately $9,700 per store. While this cost is 
    slightly outside the estimate of $6,000 to $9,000 used in the analysis, 
    changing the range from $6,000 to $10,000 would not have an effect on 
    the net benefit conclusions.
        The same commenter pointed out that upgrading equipment does not 
    eliminate labor costs, since there would always be some items that were 
    not compatible with automated equipment and would have to be done by 
    hand. The Department agrees, but accounting for this in the analytical 
    model would have minimal effect on net benefits.
        A large processor commented that the Agency did not include in its 
    cost estimate many of the significant costs associated with label 
    redesign. The analysis did recognize that the cost of revising a label 
    varies widely and that variation is included in the estimate of a one-
    time cost for processors of $50 to $100 million. The Agency is aware 
    that some firms spend several thousand dollars on label revisions. 
    Other firms spend far less. The Department considers an average cost of 
    $1,000 per label to be a reasonable estimate for an average cost for a 
    label revision of this type.
        A supermarket chain from a large urban area submitted a detailed 
    estimate of its costs using a labor rate of $24.00 per hour. The cost 
    analysis used a labor rate of approximately $10.00 per hour. The 
    Department recognizes that wages will vary widely. Aggregate cost and 
    benefit analyses must, however, be based on national averages.
    
    Executive Order 12778
    
        This final rule has been reviewed under Executive Order 12778, 
    Civil Justice Reform. States and local jurisdictions are preempted 
    under the Federal Meat Inspection Act (FMIA) and the Poultry Products 
    Inspection Act (PPIA) from imposing any marking, labeling, packaging, 
    or ingredient requirement on federally inspected meat and poultry 
    products that are in addition to, or different than, those imposed 
    under the FMIA or PPIA. States and local jurisdictions may, however, 
    exercise concurrent jurisdiction over meat and poultry products that 
    are outside official establishments for the purpose of preventing the 
    distribution of meat and poultry products that are misbranded or 
    adulterated under the FMIA or PPIA, or, in the case of imported 
    articles, which are not at such an establishment, after their entry 
    into the United States. Under the FMIA and PPIA, States that maintain 
    meat and poultry inspection programs must impose requirements that are 
    at least equal to those required under the FMIA and PPIA. The States 
    may, however, impose more stringent requirements on such State 
    inspected products and establishments.
        No retroactive effect will be given to this rule. The 
    administrative procedures specified in 9 CFR 306.5 and 381.35 must be 
    exhausted prior to any judicial challenge of the application of the 
    provisions of this rule, if the challenge involves any decision of an 
    inspector relating to inspection services provided under the FMIA or 
    PPIA. The administrative procedures specified in 9 CFR 335 and 381, 
    Subpart W, must be exhausted prior to any judicial challenge of the 
    application of the provisions of this rule with respect to labeling 
    decisions.
    
    Effect on Small Entities
    
        The Administrator has determined that this final rule will not have 
    a significant economic impact on a substantial number of small 
    entities, as defined by the Regulatory Flexibility Act (5 U.S.C. 601). 
    The rule will affect a substantial number of small entities, but the 
    economic impact on such small entities will not be significant.
        The final rule affects both retail stores and inspected 
    establishments. In 1991, USDA estimated there were 253,000 foodstores 
    in the United States. These stores are categorized as follows:
    
    
    
    Supermarkets.................................................     23,813
      (Sales >$2.5 million each)                                            
    Superettes...................................................     94,647
      (Sales <$2.5 million="" each)="" convenience="" stores...........................................="" 51,700="" specialty="" stores.............................................="" 82,895="" total..................................................="" 253,055="" most="" of="" the="" small="" businesses="" affected="" would="" be="" superettes="" and="" specialty="" stores,="" such="" as="" meat="" markets,="" butcher="" shops,="" and="" locker="" plants.="" the="" specialty="" store="" category="" includes="" a="" large="" number="" of="" small="" businesses="" that="" do="" not="" sell="" meat="" and="" poultry="" products,="" e.g.,="" confectionery="" stores.="" most="" convenience="" stores="" do="" not="" sell="" raw="" or="" partially="" cooked="" meat="" and="" poultry="" products.="" the="" department="" recognizes="" that="" small="" retail="" firms="" would="" experience="" the="" greatest="" relative="" ongoing="" costs="" because="" they="" may="" not="" be="" able="" to="" afford="" new="" or="" modified="" equipment="" that="" can="" minimize="" costs.="" however,="" the="" public="" health="" risks="" do="" not="" allow="" for="" alternative="" small="" business="" considerations.="" at="" least="" one="" of="" the="" recent="" foodborne="" illness="" incidents="" described="" in="" the="" interim="" rule="" referred="" to="" earlier="" involved="" ground="" beef="" sold="" through="" a="" small="" market="" in="" a="" small="" community.="" background="" introduction="" the="" secretary="" of="" agriculture="" has="" statutory="" authority="" to="" require="" meat="" and="" poultry="" products="" to="" bear="" labels="" including="" such="" ``information="" as="" the="" secretary="" may="" require="" *="" *="" *="" to="" assure="" that="" *="" *="" *="" the="" public="" will="" be="" informed="" of="" the="" manner="" of="" handling="" required="" to="" maintain="" the="" article="" in="" a="" wholesome="" condition.''="" federal="" meat="" inspection="" act,="" 21="" u.s.c.="" 601="" (n)="" (12);="" poultry="" products="" inspection="" act,="" 21="" u.s.c.="" 453="" (h)="" (12).="" the="" secretary="" issued="" an="" interim="" final="" rule="" on="" august="" 16,="" 1993,="" requiring="" raw="" and="" partially="" cooked="" meat="" and="" poultry="" products="" to="" carry="" safe="" handling="" instructions,="" effective="" october="" 15,="" 1993="" (58="" fr="" 43478),="" and="" solicited="" comments="" for="" 30="" days.="" in="" light="" of="" these="" comments,="" the="" secretary="" issued="" a="" final="" rule="" on="" october="" 12,="" 1993,="" which="" made="" significant="" changes="" in="" response="" to="" the="" comments="" (58="" fr="" 52856).="" due="" to="" continued="" outbreaks="" of="" foodborne="" illness="" involving="" meat="" and="" poultry="" products="" which="" resulted="" in="" serious="" illness="" and="" death,="" the="" secretary="" invoked="" the="" ``good="" cause''="" exception="" to="" the="" notice="" and="" comment="" requirement="" of="" the="" administrative="" procedure="" act="" (apa)="" (5="" u.s.c.="" 553(b)(13)(b)).="" on="" september="" 23,="" 1993,="" the="" texas="" food="" industry="" association,="" the="" national="" american="" wholesale="" grocers'="" association,="" the="" international="" foodservice="" distributors="" association,="" and="" the="" national="" grocers="" association="" filed="" a="" complaint="" in="" the="" united="" states="" district="" court="" for="" the="" western="" district="" of="" texas="" (district="" court)="" alleging="" that="" the="" issuance="" of="" the="" interim="" rule="" violated="" the="" apa="" and="" requested="" that="" the="" court="" issue="" a="" preliminary="" injunction.="" on="" october="" 14,="" the="" district="" court="" granted="" plaintiffs'="" request="" for="" a="" preliminary="" injunction="" and="" enjoined="" the="" department="" from="" enforcing="" or="" implementing="" the="" interim="" or="" final="" regulations="" against="" the="" plaintiffs="" or="" any="" other="" affected="" entities="" or="" individuals.="" the="" department="" filed="" a="" motion="" with="" the="" united="" states="" court="" of="" appeals="" for="" the="" fifth="" circuit="" on="" october="" 15="" to="" stay="" the="" preliminary="" injunction="" and="" allow="" the="" safe="" handling="" regulations="" to="" take="" effect.="" this="" motion="" was="" denied="" on="" october="" 19,="" 1993.="" while="" the="" department="" believed="" it="" would="" prevail="" on="" the="" apa="" issue="" in="" further="" litigation,="" it="" recognized="" that="" a="" notice="" and="" comment="" rulemaking="" would="" take="" less="" time="" than="" further="" litigating="" the="" apa="" issue="" with="" the="" plaintiffs.="" due="" to="" the="" importance="" of="" protecting="" public="" health="" and="" the="" related="" need="" to="" provide="" this="" crucial="" information="" to="" consumers="" as="" quickly="" as="" possible,="" the="" department="" published="" simultaneously="" on="" november="" 4,="" 1993,="" a="" proposal="" to="" amend="" the="" regulations="" to="" require="" safe="" handling="" instructions="" on="" raw="" and="" partially="" cooked="" meat="" and="" poultry="" products,="" and="" a="" final="" rule="" withdrawing="" the="" provisions="" of="" the="" interim="" and="" final="" rules="" (58="" fr="" 43478="" and="" 58="" fr="" 52856).="" authority="" the="" federal="" meat="" inspection="" act="" (fmia)="" (21="" u.s.c.="" 601="" et="" seq.)="" and="" the="" poultry="" products="" inspection="" act="" (ppia)="" (21="" u.s.c.="" 451="" et="" seq.)="" direct="" the="" secretary="" of="" agriculture="" to="" maintain="" meat="" and="" poultry="" inspection="" programs="" designed="" to="" assure="" consumers="" that="" meat="" and="" poultry="" products="" distributed="" to="" them="" (including="" imports)="" are="" wholesome,="" not="" adulterated,="" and="" properly="" marked,="" labeled,="" and="" packaged.="" section="" 2="" of="" the="" fmia="" (21="" u.s.c.="" 602)="" and="" section="" 2="" of="" the="" ppia="" (21="" u.s.c.="" 451)="" state="" that="" unwholesome,="" adulterated,="" or="" misbranded="" meat="" or="" meat="" food="" products="" and="" poultry="" products="" are="" injurious="" to="" the="" public="" welfare,="" destroy="" markets="" for="" wholesome,="" not="" adulterated,="" and="" properly="" marked,="" labeled,="" and="" packaged="" products,="" and="" result="" in="" sundry="" losses="" to="" producers="" and="" processors="" of="" meat="" and="" poultry="" products,="" as="" well="" as="" injury="" to="" consumers.="" therefore,="" congress="" has="" granted="" the="" secretary="" authority="" to="" regulate="" meat,="" meat="" food="" products,="" and="" poultry="" products="" to="" protect="" consumers'="" health="" and="" welfare.="" subsection="" 1(n)(12)="" of="" the="" fmia="" (21="" u.s.c.="" 601(n)(12))="" and="" subsection="" 4="" (h)(12)="" of="" the="" ppia="" (21="" u.s.c.="" 453(h)(12))="" state="" that="" the="" term="" ``misbranded''="" applies="" to="" any="" product="" if="" it="" fails="" to="" bear,="" directly="" thereon="" or="" on="" its="" container,="" as="" the="" secretary="" may="" be="" regulations="" prescribe,="" the="" inspection="" legend,="" and="" unrestricted="" by="" any="" of="" the="" foregoing,="" such="" information="" as="" the="" secretary="" may="" require="" in="" such="" regulations="" to="" assure="" that="" it="" will="" not="" have="" false="" or="" misleading="" labeling="" and="" that="" the="" public="" will="" be="" informed="" of="" the="" manner="" of="" handling="" required="" to="" maintain="" the="" article="" in="" a="" wholesome="" condition.="" section="" 7(d)="" of="" the="" fmia="" (21="" u.s.c.="" 607(d))="" states:="" ``no="" article="" subject="" to="" this="" title="" shall="" be="" sold="" or="" offered="" for="" sale="" by="" any="" person,="" firm,="" or="" corporation,="" in="" commerce,="" under="" any="" name="" or="" other="" marking="" or="" labeling="" which="" is="" false="" or="" misleading,="" or="" in="" any="" container="" of="" a="" misleading="" form="" or="" size,="" but="" established="" trade="" names="" and="" other="" marking="" and="" labeling="" and="" containers="" which="" are="" not="" false="" or="" misleading="" and="" which="" are="" approved="" by="" the="" secretary="" are="" permitted.''="" the="" ppia="" contains="" similar="" language="" in="" section="" 8(c)="" (21="" u.s.c.="" 457(c)).="" safe="" handling="" labeling="" instructions="" in="" 1972,="" the="" american="" public="" health="" association,="" individual="" consumers,="" and="" six="" other="" public="" health="" and="" consumer="" interest="" groups="" brought="" suit="" in="" the="" u.s.="" district="" court="" for="" the="" district="" of="" columbia="" against="" the="" u.s.="" department="" of="" agriculture="" alleging="" that="" labels="" placed="" on="" meat="" and="" poultry="" products="" were="" false="" and="" misleading="" because="" they="" failed="" to="" warn="" consumers="" against="" the="" dangers="" of="" foodborne="" illness="" caused="" by="" salmonella="" and="" other="" bacteria="" in="" such="" products.="" the="" court="" of="" appeals="" affirmed="" the="" district="" court's="" order="" dismissing="" the="" action,="" and="" ruled="" that="" the="" secretary="" of="" agriculture="" did="" not="" abuse="" his="" discretion="" by="" choosing="" to="" undertake="" a="" consumer="" education="" program="" instead="" of="" requiring="" labeling="" instructions="" for="" meat="" and="" poultry="" products.="" since="" that="" ruling,="" usda="" has="" conducted="" a="" massive="" and="" increasingly="" targeted="" food="" safety="" campaign="" to="" inform="" consumers="" about="" safe="" handling="" and="" cooking="" of="" meat="" and="" poultry="" products.="" fsis="" has="" offered="" a="" toll-free="" nationwide="" hotline,="" staffed="" by="" food="" safety="" specialists,="" and="" conducted="" campaigns,="" directed="" at="" such="" specialized="" audiences="" as="" food="" handlers,="" institutions,="" health="" professionals,="" and="" at-risk="" populations,="" as="" well="" as="" food="" handlers="" in="" the="" home.="" additionally,="" fsis="" has="" permitted="" the="" voluntary="" labeling="" of="" poultry="" products="" with="" safe="" handling="" instructions="" since="" 1987.="" fsis="" does="" not="" monitor="" participation="" in="" voluntary="" labeling;="" however,="" one="" trade="" association="" has="" said="" that="" 75="" percent="" of="" its="" members="" offer="" handling="" instructions="" on="" their="" labels.="" new="" policy="" direction="" in="" recent="" years,="" fsis="" has="" been="" aware="" that="" a="" growing="" percentage="" of="" the="" u.s.="" population="" consists="" of="" persons="" lacking="" experience="" in="" food="" preparation="" and="" knowledge="" of="" safe="" food="" handling="" and="" storage="" methods.="" studies="" of="" foodborne="" illness="" outbreaks="" have="" repeatedly="" shown="" improper="" food="" handling="" to="" be="" the="" frequent="" cause="" of="" foodborne="" illnesses.="" improper="" cooling="" of="" cooked="" foods="" has="" been="" ranked="" as="" the="" leading="" factor.="" other="" factors="" cited="" included="" inadequate="" cooking,="" cross-contamination,="" and="" inadequate="" reheating.="" studies="" of="" consumer="" knowledge="" and="" practices="" indicate="" that="" a="" significant="" number="" lack="" basic="" food="" safety="" information="" and="" skills,="" particularly="" with="" respect="" to="" the="" relationship="" between="" temperature="" and="" foodborne="" illness.="" information="" from="" the="" cdc="" revealed="" that:="" (1)="" undercooking="" was="" a="" factor="" in="" 108="" of="" 345="" (31.3="" percent)="" home="" outbreaks="" of="" foodborne="" illness="" that="" occurred="" between="" 1973="" and="" 1982="" (data="" include="" all="" foods);="" and="" (2)="" cooking="" foods="" ahead,="" i.e.,="" 12="" hours="" or="" more="" before="" serving,="" was="" a="" factor="" in="" 12.8="" percent="" of="" the="" home="" outbreaks.="" while="" the="" agency="" has="" long="" been="" committed="" to="" a="" program="" of="" consumer="" education="" to="" help="" prevent="" foodborne="" illness,="" as="" exemplified="" by="" its="" distribution="" of="" publications="" for="" consumers="" and="" its="" meat="" and="" poultry="" hotline,="" it="" has="" become="" convinced="" of="" the="" need="" for="" more="" direct="" methods="" of="" placing="" food="" safety="" information="" in="" the="" hands="" of="" consumers.="" thus,="" agency="" officials="" in="" early="" january="" 1993="" began="" to="" advocate="" in="" their="" speeches="" and="" writings="" that="" the="" mandatory="" safe="" handling="" instructions="" on="" the="" labeling="" of="" meat="" and="" poultry="" products="" was="" a="" necessary="" component="" of="" a="" program="" to="" combat="" foodborne="" illness.="" the="" agency's="" new="" policy="" direction="" gained="" additional="" impetus="" following="" the="" january="" 1993="" outbreaks="" of="" a="" severe="" foodborne="" illness="" that="" led="" to="" four="" deaths="" among="" approximately="" 500="" confirmed="" cases="" in="" washington,="" idaho,="" california,="" and="" nevada.="" the="" outbreaks="" were="" linked="" to="" the="" pathogenic="" bacterial="" strain="" e.="" coli="" 0157:h7.="" because="" most="" of="" the="" cases="" were="" attributed="" to="" undercooked="" hamburgers="" served="" at="" a="" fast-food="" restaurant="" chain,="" federal="" and="" local="" authorities="" have="" intensified="" their="" regulatory="" activities.="" in="" june="" and="" july="" of="" 1993,="" the="" department="" became="" aware="" of="" nine="" separate="" incidents="" where="" e.="" coli="" 0157:h7="" was="" the="" direct="" or="" suspected="" cause="" of="" illness="" or="" death.="" the="" incidents="" led="" the="" department="" to="" conclude="" that="" it="" was="" time="" to="" immediately="" require="" safe="" handling="" information="" on="" raw="" and="" partially="" cooked="" meat="" and="" poultry="" products.="" on="" august="" 16,="" 1993,="" fsis="" published="" in="" the="" federal="" register="" an="" interim="" rule="" (58="" fr="" 43478)="" mandating="" safe="" handling="" instructions="" on="" all="" raw="" and="" partially="" cooked="" meat="" and="" poultry="" product="" labeling.="" also,="" fsis="" established="" a="" permanent="" liaison="" position="" with="" the="" cdc.="" the="" responsibilities="" of="" this="" position="" include="" monitoring="" and="" tracking="" all="" e.="" coli="" epidemics="" reported="" to="" the="" cdc.="" preliminary="" data="" for="" 1993="" from="" cdc="" indicates="" 17="" reported="" clusters="" of="" e.="" coli="" 0157:h7="" infections.="" many="" of="" these="" cases="" occurred="" after="" publication="" of="" the="" interim="" rule.="" several="" noteworthy="" developments="" in="" previously="" cited="" cases="" of="" foodborne="" illness="" and="" new="" incidents,="" not="" reported="" in="" the="" prior="" rulemaking="" publication,="" which="" reinforce="" the="" exigent="" need="" for="" safe="" handling="" instructions="" are="" summarized="" below:="" reading,="" ct="" the="" connecticut="" department="" of="" health="" investigated="" an="" outbreak="" of="" e.="" coli="" 0157:h7="" that="" appeared="" to="" be="" linked="" to="" a="" country="" club.="" four="" cases="" of="" e.="" coli="" 0157:h7="" were="" positively="" linked="" to="" undercooked="" hamburger="" patties="" served="" at="" the="" reading="" country="" club.="" e.="" coli="" 0157:h7="" was="" isolated="" by="" the="" connecticut="" state="" lab="" and="" the="" fsis="" beltsville="" lab.="" ft.="" bragg,="" ca="" the="" mendocino="" county="" health="" department="" reported="" confirmed="" cases="" of="" e.="" coli="" 0157:h7="" in="" a="" 13="" year="" old="" girl="" and="" an="" 84="" year="" old="" woman="" in="" ft.="" bragg.="" the="" two="" cases="" appeared="" unrelated="" except="" that="" both="" victims="" consumed="" home-cooked="" hamburgers="" which="" may="" have="" been="" made="" from="" ground="" beef="" purchased="" at="" the="" same="" supermarket="" during="" the="" same="" time="" period.="" fsis="" isolated="" e.="" coli="" 0157:h7="" from="" ground="" beef="" returned="" to="" the="" market="" as="" well="" as="" a="" patty="" from="" the="" residence="" where="" the="" 13="" year="" old="" girl="" had="" eaten.="" texas="" a="" total="" of="" 10="" separate="" cases="" e.="" coli="" 0157:h7="" occurring="" over="" a="" 6-="" week="" period="" in="" the="" autumn="" of="" 1993="" are="" being="" investigated="" by="" the="" texas="" health="" department.="" these="" included="" three="" cases="" that="" resulted="" in="" hemolytic="" uremic="" syndrome="" and="" one="" death.="" no="" common="" source="" has="" been="" identified.="" parameters="" of="" good="" safety="" after="" reviewing="" available="" information,="" fsis="" in="" conjunction="" with="" the="" food="" and="" drug="" administration="" (fda)="" identified="" the="" following="" parameters="" of="" safe="" handling="" by="" consumers:="" how="" to="" safely="" store="" raw="" product="" and="" thaw="" frozen="" product;="" how="" to="" avoid="" cross-contamination="" during="" preparation;="" how="" to="" cook="" for="" optimal="" safety="" and="" palatability;="" and,="" how="" to="" store="" leftovers="" after="" preparation.="" for="" institutions,="" hot="" holding="" of="" prepared="" food="" is="" an="" additional="" parameter.="" (the="" term="" institutions="" as="" used="" throughout="" this="" preamble="" includes="" hotels,="" restaurants,="" or="" similar="" institutions.)="" in="" addition,="" the="" agency="" proposed="" that="" the="" safe="" handling="" instructions="" include="" a="" rationale="" statement="" specifying="" the="" reason="" why="" it="" is="" important="" to="" follow="" such="" instructions.="" the="" agency="" believes="" that="" consumers="" will="" pay="" more="" attention="" to="" the="" safe="" handling="" instructions="" if="" they="" understand="" that="" mishandling="" will="" lead="" to="" the="" growth="" of="" bacteria="" and="" possibly="" to="" illness.="" labeling="" various="" methods="" have="" been="" used="" in="" the="" past="" to="" inform="" consumers="" of="" handling="" instructions.="" such="" methods="" have="" included="" putting="" the="" instructions="" on="" the="" product="" label,="" on="" inserts,="" on="" tags="" attached="" to="" the="" product,="" and="" on="" point-of-purchase="" materials="" displayed="" near="" the="" product="" at="" the="" point="" of="" sale.="" fsis="" has="" concluded="" that="" the="" outside="" label="" is="" the="" most="" appropriate="" location="" for="" safe="" handling="" instructions.="" the="" agency="" considered="" three="" options="" for="" presenting="" safe="" handling="" information="" on="" the="" label.="" these="" options="" included="" long="" word="" messages,="" short="" word="" messages,="" and="" short="" word="" messages="" with="" symbols="" or="" graphic="" representations="" to="" accompany="" the="" message.="" to="" collect="" information="" on="" which="" format="" would="" most="" effectively="" influence="" consumer="" behavior,="" fsis="" initiated="" consumer="" focus-study="" research.="" in="" the="" fsis="" initiated="" consumer="" focus-study,="" most="" participants="" wanted="" to="" see="" safe="" handling="" instructions="" on="" raw="" meat="" and="" poultry="" products.="" consumers="" in="" the="" study="" expressed="" a="" preference="" for="" the="" safe="" handling="" instructions="" to="" be="" on="" the="" package="" label="" and="" felt="" that="" other="" labeling,="" such="" as="" pamphlets="" or="" in-store="" signs,="" should="" only="" be="" used="" to="" supplement="" package="" labels.="" instructions="" with="" graphic="" illustrations="" were="" generally="" preferred="" to="" those="" without="" graphic="" illustrations="" and="" the="" short="" word="" messages="" were="" preferred="" to="" the="" long="" word="" messages.="" also,="" most="" participants="" of="" the="" focus-study="" research="" felt="" that="" the="" rationale="" statement="" was="" a="" necessary="" part="" of="" the="" safe="" handling="" instructions.="" current="" regulations="" the="" federal="" meat="" and="" poultry="" products="" inspection="" regulations="" currently="" require="" the="" placement="" of="" safe="" handling="" statements="" on="" packaged="" products="" that="" require="" special="" handling="" to="" maintain="" their="" wholesome="" condition.="" sections="" 317.2="" and="" 381.125="" of="" the="" federal="" meat="" and="" poultry="" products="" inspection="" regulations="" (9="" cfr="" 317.2(k)="" and="" 9="" cfr="" 381.125,="" respectively)="" provide="" that="" packaged="" products="" which="" require="" special="" handling="" to="" maintain="" their="" wholesome="" condition="" shall="" have="" prominently="" displayed="" on="" the="" principal="" display="" panel="" of="" the="" label="" the="" statement:="" ``keep="" refrigerated,''="" ``keep="" frozen,''="" ``perishable="" keep="" under="" refrigeration,''="" or="" such="" similar="" statement="" as="" the="" administrator="" may="" approve="" in="" specific="" cases.="" proposal="" fsis="" proposed="" to="" amend="" the="" federal="" meat="" and="" poultry="" products="" inspection="" regulations="" to="" mandate="" the="" inclusion="" of="" safe="" handling="" instructions="" on="" the="" labeling="" of="" raw="" and="" partially="" cooked="" meat="" and="" poultry="" products="" along="" with="" a="" rationale="" statement="" to="" indicate="" the="" reason="" why="" it="" is="" important="" to="" follow="" such="" handling="" instructions.="" the="" department="" has="" established="" required="" cooking="" temperatures="" for="" certain="" beef,="" poultry,="" and="" patty="" products.="" these="" requirements="" are="" set="" forth="" at="" 9="" cfr="" 318.17,="" 381.150,="" and="" 318.23,="" respectively.="" the="" proposed="" rule="" applied="" the="" beef="" temperature="" requirements="" to="" beef,="" swine,="" sheep,="" goat,="" horse,="" and="" other="" equine.="" the="" department="" has="" also="" established="" processing="" requirements="" for="" the="" curing="" or="" other="" treatment="" of="" certain="" meat="" products="" to="" control="" microbial="" activity.="" some="" of="" these="" products="" are="" identified="" in="" part="" 319="" of="" the="" meat="" inspection="" regulations.="" these="" cooked="" products,="" e.g.,="" cooked="" sausage,="" and="" some="" products="" that="" have="" been="" otherwise="" further="" processed="" so="" as="" to="" render="" them="" ready-to-eat,="" e.g.,="" dry="" fermented="" sausage,="" are="" not="" considered="" to="" be="" at="" sufficient="" risk="" of="" microbial="" contamination="" to="" warrant="" the="" application="" of="" safe="" handling="" labels.="" however,="" some="" products="" that="" are="" traditionally="" considered="" ready-="" to-eat="" receive="" no="" lethal="" heat="" treatment="" and="" may="" not="" be="" pathogen="" free.="" fsis="" is="" reevaluating="" its="" policies="" and="" regulations="" governing="" these="" products="" and="" plans="" to="" propose="" a="" regulation="" requiring="" that="" these="" products="" either="" bear="" the="" safe="" handling="" instructions="" or="" be="" processed="" in="" such="" a="" manner="" as="" to="" assure="" the="" destruction="" of="" pathogens.="" fsis="" proposed="" to="" permit="" official="" establishment="" and="" retailers="" to="" use="" alternate="" approaches="" to="" deliver="" the="" safe="" handling="" instructions="" until="" april="" 15,="" 1994,="" except="" for="" comminuted="" products.="" for="" comminuted="" products,="" fsis="" proposed="" to="" require="" that="" safe="" handling="" instructions="" be="" included="" on="" the="" label="" within="" 30="" days="" after="" publication="" of="" the="" final="" rule.="" the="" alternate="" approaches="" presented="" in="" the="" proposed="" rule="" are:="" (1)="" official="" establishments="" may="" include="" in="" the="" shipping="" container="" either="" pressure-sensitive="" labels="" containing="" the="" safe="" handling="" instructions="" for="" retailers="" to="" apply="" to="" packages="" or="" leaflets="" containing="" a="" facsimile="" of="" the="" safe="" handling="" instructions="" in="" lettering="" no="" smaller="" than="" one="" one-="" sixteenth="" of="" an="" inch="" for="" retailers="" to="" place="" in="" close="" proximity="" to="" the="" packages="" to="" ensure="" that="" leaflets="" are="" likely="" to="" be="" seen="" and="" taken="" home="" by="" consumers;="" and="" (2)="" retailers="" may="" distribute="" leaflets="" containing="" the="" facsimile="" described="" above.="" in="" some="" cases,="" it="" was="" expected="" that="" retailers="" might="" prefer="" pressure-sensitive="" labels="" or="" leaflets="" of="" their="" own="" design="" and="" manufacture="" to="" those="" that="" an="" official="" establishment="" would="" provide="" under="" the="" permitted="" alternative.="" fsis="" proposed="" that="" if="" a="" retailer="" notifies="" an="" official="" establishment="" in="" writing="" that="" it="" intends="" to="" supply="" its="" own="" labels="" or="" labeling,="" the="" official="" establishment="" would="" not="" be="" required="" to="" supply="" the="" materials="" in="" the="" shipping="" container.="" the="" following="" rationale="" statement="" was="" proposed="" for="" products="" prepared="" from="" inspected="" and="" passed="" meat="" and/or="" poultry:="" this="" product="" was="" prepared="" from="" inspected="" and="" passed="" meat="" and/or="" poultry.="" some="" food="" products="" may="" contain="" bacteria="" that="" could="" cause="" illness="" if="" the="" product="" is="" mishandled="" or="" cooked="" improperly.="" for="" your="" protection,="" follow="" these="" safe="" handling="" instructions.="" fsis="" proposed="" the="" following="" rationale="" statement="" for="" poultry="" slaughtered="" under="" exemptions="" specified="" in="" 9="" cfr="" 381.10:="" some="" food="" products="" may="" contain="" bacteria="" that="" could="" cause="" illness="" if="" the="" product="" is="" mishandled="" or="" cooked="" improperly.="" for="" your="" protection,="" follow="" these="" safe="" handling="" instructions.="" fsis="" proposed="" the="" following="" four="" safe="" handling="" statements="" for="" use="" on="" the="" label="" of="" both="" red="" meat="" and="" poultry="" products="" distributed="" to="" both="" household="" consumers="" and="" institutions:="" (1)="" keep="" refrigerated="" or="" frozen.="" thaw="" in="" refrigerator="" or="" microwave.="" (any="" portion="" of="" this="" statement="" that="" is="" in="" conflict="" with="" the="" product's="" specific="" handling="" instructions,="" may="" be="" omitted.)="" (a="" graphic="" illustration="" of="" a="" refrigerator="" shall="" be="" displayed="" next="" to="" the="" statement.);="" (2)="" keep="" raw="" meat="" and="" poultry="" separate="" from="" other="" foods.="" wash="" working="" surfaces="" (including="" cutting="" boards),="" utensils,="" and="" hands="" after="" touching="" raw="" meat="" or="" poultry.="" (a="" graphic="" illustration="" of="" soapy="" hands="" under="" a="" faucet="" shall="" be="" displayed="" next="" to="" the="" statement.);="" (3)="" cook="" thoroughly.="" (a="" graphic="" illustration="" of="" a="" skillet="" shall="" be="" displayed="" next="" to="" the="" statement.);="" and="" (4)="" keep="" hot="" foods="" hot.="" refrigerate="" leftovers="" immediately="" or="" discard.="" (a="" graphic="" illustration="" of="" a="" thermometer="" shall="" be="" displayed="" next="" to="" the="" statement.)="" the="" label="" for="" safe="" handling="" instructions="" is="" shown="" in="" exhibit="" 1.="" billing="" code="" 3410-dm-m="" exhibit="" 1="">TR28MR94.001
    
    
    BILLING CODE 3410-DM-C
        FSIS proposed that safe handling instructions may appear anywhere 
    on the label where they would likely to be read. The proposal also 
    required the safe handling instructions to be set off by a border and 
    to one color type printed on a single color contrasting background.
        FSIS proposed to exempt products intended for further processing by 
    an inspected establishment from mandatory safe handling labeling 
    requirements. Since products for further processing by another Federal 
    or State establishment will not be available to consumers or food 
    service institutions, FSIS did not believe that it was necessary to 
    require safe handling instructions on such packaging.
        FSIS proposed to allow safe handling instructions to be added to 
    labels by the manufacturer and to be approved under the provisions of 
    generic label approval since the regulations prescribe the exact 
    language of the safe handling instructions.
    
    Discussion of Comments
    
        The FSIS Hearing Clerk received 60 comments on the proposed rule. 
    Commenters included consumers, representatives of consumer and other 
    interest groups, State meat and poultry inspection officials, 
    representatives and associations of retail stores, representatives and 
    associations of official meat and poultry establishments, two U.S. 
    Department of Agriculture Agencies, and others.
        The following discussion of comments follows the general structure 
    of the proposed rule. General concerns are addressed in the context of 
    specific features of the rule. Where the concerns cannot be logically 
    addressed in the context of specific sections of the rule, they are 
    presented under a ``Miscellaneous Issues'' section. Changes made in the 
    final rule are described so that it is apparent how they address the 
    concerns of commenters. Where the Agency addresses the meat 
    regulations, conforming changes are also made in the poultry 
    regulations. Any changes unique to either the meat or poultry 
    regulations are identified.
    
    Miscellaneous Issues
    
        One commenter suggested that the comment period should be extended 
    and that additional information that FSIS used in formulating and 
    supporting the regulation should be placed on the regulatory record. We 
    disagree with this comment and not that FSIS had made publicly 
    available, as part of this rulemaking proceeding, all relevant data 
    upon which the regulation is based, including: the August 16, 1993 
    interim rule and all comments received in response thereto; the studies 
    referenced in the interim rule; the October 12, 1993 final rule; 
    questions and answer papers formulated in response to questions raised 
    by the interim rule; the November 4, 1993 Notice of Proposed Rulemaking 
    and all comments received in response thereto; all studies referenced 
    in the Notice of Proposed Rulemaking, including the Focus-Study 
    Research and Agricultural Outlook (June, 1993); and documentation of 
    oral presentations made in the course of the rulemaking proceeding.
        The majority of commenters supported the labeling of products with 
    safe handling instructions. Several commenters objected to mandatory 
    labeling stating either that other methods of educating consumers would 
    be more appropriate, that the required labeling would be ineffective, 
    that labeling is not a substitute for proper training of safe food 
    handling, that requiring a simple label can not guarantee any consumer 
    will follow that label, or that some products currently include 
    sufficient safe handling instructions which make the proposed safe 
    handling label unnecessary. Seven commenters stated that many existing 
    products contain much more helpful and meaningful handling and 
    preparation information than that required by the proposed regulation. 
    One also questioned whether the information contained in the proposed 
    statements is so demonstrably more effective than the safe handling 
    instructions currently in use on meat and poultry so as to justify the 
    millions of dollars in conversion costs. They also suggest that to 
    prohibit alternative language is unnecessarily restrictive and may 
    preclude a more effective way of conveying the message intended. Five 
    commenters suggested that labeling is only one option and point-of-
    purchase materials or other types of signs may be equally effective or 
    more effective in instructing the consumer about safe food handling.
        FSIS does not agree with these comments. The focus-study research 
    asked participants about other alternatives for safe handling 
    instructions. Participants in the focus-study research expressed a 
    preference for safe handling instructions to be on the package label 
    and felt other labeling, such as pamphlets or in-store signs, should 
    only be used to supplement package labels, but not replace the package 
    labels. The safe handling instructions are not meant to substitute for 
    comprehensive training of safe handling procedures either in the home 
    or food service setting. The instructions primarily alert food 
    preparers that there is a risk of illness if products are mishandled or 
    improperly cooked, and it addresses four broad parameters of food 
    safety. Finally, FSIS does not believe that current handling 
    instructions on labels will make safe handling instructions 
    unnecessary. The safe handling instructions are not meant to replace 
    more comprehensive cooking instructions found on products. In addition, 
    current labeling may cover the four broad parameters of food safety, 
    but does not include a rationale statement explaining to food preparers 
    why it is important to follow the instructions. The focus-study 
    research found that the rationale statement was an essential feature of 
    the label.
        Officials from two retail stores and two retail associations 
    suggested that the regulations have a sunset provision and that the 
    effectiveness of the regulation be studied periodically. Five 
    additional commenters suggested that the effectiveness of the 
    regulation be evaluated. Several suggested annual reports be sent to 
    the Secretary of Agriculture for review and one requested that FSIS 
    publish a method to measure the effectiveness of the regulation as part 
    of the final rule. There are no changes in the final rule in response 
    to these comments. The Regulatory Flexibility Act already provides that 
    Agencies will periodically review regulations. While this does not have 
    the same effect as a sunset provision, it does insure that the 
    continuing appropriateness of regulations will be assessed. Further, 
    there is no way to quantify the effectiveness of the regulation. It is 
    impossible to determine how many cases of foodborne illness were 
    prevented by the inclusion of these instructions on the labels of raw 
    and partially cooked meat and poultry products.
        Twelve commenters addressed the four sets of ``Questions and 
    Answers (Q&A's)'' that FSIS disseminated between August 20 and 
    September 15, 1993. Suggestions included codifying the Q&A's as part of 
    the final rule, adding the Q&A's to the proposal and reopening the 
    comment period to allow all interested parties an opportunity to 
    comment on the Q&A's, and including specific responses either in the 
    regulatory language or the preamble of the final rule. Four issues 
    specifically cited were the status of export products, retroactive 
    labeling of products, placement of information on hang tags and on the 
    bottom of trays, and safe handling information requirements for multi-
    component products which include a meat or poultry portion that is 
    fully cooked or otherwise processed so as to render it ready-to-eat. 
    FSIS does not believe that these Q&A's need to be part of the 
    regulatory language of the final rule. The Q&A's either cited other 
    regulations within Title 9 or provided interpretations of how the safe 
    handling regulation would be applied in specific situations.
        In addition, the Q&A's, in large part, related to the interim rule, 
    which was withdrawn. However, we will address the specific questions 
    raised by the commenters. Regarding the need for export products to 
    carry safe handling instructions, the condition under which deviations 
    from labeling requirements are permitted are already set out in 9 CFR 
    317.7 and 9 CFR 381.128. FSIS will not require retroactive labeling of 
    products, products labeled on or after the effective date will be 
    required to carry safe handling instruction on the label. Products 
    labeled prior to the effective date will not require the addition of 
    safe handling instructions. For example, products in frozen storage, 
    labeled prior to the effective date but shipped afterwards, will not be 
    required to add the safe handling instructions. Regarding the placement 
    of safe handling instructions on hang tags or the bottom of trays, FSIS 
    has considered hang tags to be an extension of the label and 
    consequently they may contain required label features such as safe 
    handling instructions. Also, the instructions may be placed on the 
    bottom of trays as long as they are visible at time of purchase. This 
    is evident in the language of the proposed and final rules that state 
    the safe handling instructions, ``shall be prominently placed with such 
    conspicuousness (as compared with other words, statements, designs or 
    devices in the labeling) as to render it likely to be read and 
    understood by the ordinary consumer under customary conditions of 
    purchase and use.'' Finally, as to whether safe handling instructions 
    need to be on products that include a fully cooked meat filling but 
    where the total product requires cooking, e.g., a fully cooked meat 
    filling in uncooked dough: the rule does not require safe handling 
    instructions on products where the meat or poultry portion is fully 
    cooked or otherwise processed to render that portion ready-to-eat. 
    However, while such products do not require safe handling instructions 
    they are not considered ready-to-eat products.
        One commenter suggested that FSIS implement appropriate compliance 
    procedures for safe handling labels, stating the hope that ``after all 
    the commotion and rhetoric accompanying this present rule that more 
    effort will be made to assure not only compliance with it but with all 
    the other regulatory initiatives that are sorely in need of the 
    Department's attention.'' FSIS appreciates the concern of this 
    commenter. It is envisioned that the monitoring of compliance with 
    these requirements will follow the current model of enforcement of 
    misbranding of products at the retail level. Jurisdiction is primarily 
    exercised by State and local food regulatory agencies. Local codes 
    generally require that food be fully labeled in conformance with 
    requirements of agencies having jurisdiction over the product. FSIS and 
    State meat and poultry inspection programs also monitor meat and 
    poultry products in commerce. If products are found out of compliance 
    with these requirements, they generally require that the specific 
    product be brought into compliance or other appropriate action is 
    taken. FSIS anticipates that initial compliance monitoring of this 
    labeling requirement will have an educational focus. Where 
    noncompliance is found, FSIS Compliance and other enforcement officials 
    will provide guidance on these labeling requirements. Where it is 
    apparent that businesses are making a good faith effort to comply with 
    these requirements, they will not be subject to enforcement action.
        One commenter suggested that FSIS replace the term ``comminuted'' 
    with a different term such as ``non-whole muscle'' products because 
    historically, ``comminuted'' has been used to include only very finely 
    ground meat and poultry products produced from by-products of other 
    whole muscle operations. FSIS does not agree with this comment. Other 
    FSIS regulations, including the August 2, 1993, pattie regulation (58 
    FR 41138), have defined ``comminuted'' as a processing term used to 
    describe the reduction in size of pieces of meat or poultry, and 
    includes chopping, flaking, grinding, and mincing.
        One commenter was concerned that styrofoam trays are sometimes 
    reused in children's crafts and that such a use poses risks. The 
    commenter suggested that these trays should include a message saying to 
    discard them. Meat packed in styrofoam trays could pose a potential 
    health risk if ready-to-eat food products are stored in an unwashed 
    tray. Use of these materials by school children has not resulted in any 
    reported foodborne illness. FSIS believes that most consumers either 
    discard the trays or wash them before giving them to their children to 
    use. On this basis, FSIS does not believe a message is needed to 
    address this concern.
        One commenter suggested that the Department introduce two new 
    categories of product that could be sold in addition to the current 
    products that are labeled ``USDA Inspected and Passed (or For 
    Wholesomeness).'' The first category would be ``USDA Inspected for 
    Cosmetics and Marketing Defects Only--Not Health Hazards,'' and the 
    second category would be ``Uninspected.'' Both of the new categories 
    would be required to include safe handling information on the label. 
    Products meeting the criteria to be labeled ``USDA Inspected and Passed 
    (or For Wholesomeness)'' would not be required to include safe handling 
    information.
        The Agency does not agree with this commenter. The ``USDA Inspected 
    and Passed'' logo represents an assurance that products are derived 
    only from animals slaughtered under inspection; contain only 
    ingredients from approved sources; are processed in a sanitary 
    environment; and, are processed in accordance with accepted Good 
    Manufacturing Practices. All these assurances are of health and safety 
    concern. The Agency does not agree with an assertion that failure to 
    assure that raw meat and poultry products are sterile reduces 
    inspectional efficacy to assuring only the absence of cosmetic and 
    marketing defects. Inspection of the processing of cooked products is 
    designed to assure a commercially sterile product. Requiring safe 
    handling instructions on the labels of raw and partially cooked meat 
    and poultry products is the appropriate step to alert consumers to the 
    practical limits of the assurance represented by the ``USDA Inspected 
    and Passed'' logo.
        Some commenters suggested that the focus-study research results 
    were misused. Specifically, they state that FSIS is mandating a 
    nationwide labeling plan based on the input of 86 individuals. They 
    also cited a statement in the final report on the focus-study research 
    that cautioned that the findings of focus-study research should not be 
    generalized to a larger population in any statistical sense. FSIS does 
    not believe that its use of the focus-study research findings was 
    inappropriate. Consumers have an important role in assuring meat and 
    poultry are safe to eat. Safe handling labels are a part of the 
    Agency's consumer education campaign. The focus-study research was used 
    to obtain consumer feedback on three label formats proposed by FSIS. 
    The process used was consistent with generally recognized focus group 
    methodology. Focus-study research provides a richness of detail not 
    possible in more structured quantitative research. Focus groups are 
    highly effective for developing understanding and insight into consumer 
    behavior and thinking. The Agency was responsive to focus-study 
    research suggestions as well as public comments in formulating the 
    previous final regulation on safe handling instructions. As previously 
    cited, participants in the focus-study research expressed a preference 
    for safe handling instructions to be on the package label and felt 
    other labeling, such as pamphlets or in-store signs, should only be 
    used to supplement package labels, but not replace the package labels.
    
    Implementation Date
    
        Representatives from many official establishments and their 
    associations, retail stores and their associations, as well as 
    officials of State meat and poultry inspection programs strongly 
    recommended that the effective date of the rule be extended. The most 
    frequently mentioned date was July 6, 1994, to coincide with the 
    effective date for nutrition labeling. Many noted that a 30 day 
    implementation time was not feasible. Retailers state that it will take 
    a minimum of 60 days to either receive and install new equipment or 
    receive new labels, taking into account the lag time from publication 
    of a final rule to receiving the new regulation, and ordering and 
    delivery of equipment or labels. Federally inspected establishments and 
    trade associations commenting on the 30-day implementation timeframe 
    offered varied estimates of the time required to make label changes. 
    These ranged from 4 weeks to 4 months. In addition, several commenters 
    stated that pressure-sensitive stickers pose feasibility problems, 
    including inability of the stickers to remain on the product through 
    processing, lack of adequate space on the current label to place the 
    sticker without obscuring other mandatory features, and extremely high 
    labor costs due to the need to add a labor intensive manual process 
    step where businesses currently use high speed equipment that cannot be 
    easily or economically retrofitted to apply the stickers.
        The National Association of State Departments of Agriculture states 
    that ``FSIS should consider delaying the implementation to July 6, 
    1994, to provide an opportunity to educate not only the public, but 
    also those who must enforce the requirement and encourage the public to 
    follow the guidelines. It is essential that FSIS provide a lead time to 
    furnish state officials with accurate and reliable information before 
    the regulation is implemented.'' One retail store also stated that 30 
    days did not provide the time necessary to properly train employees.
        Regarding FSIS's suggestion that companies revise their nutrition 
    labeling timetable to coincide with safe handling, one official 
    establishment wrote, ``it is not practical to simply `revise our 
    timetable for nutrition labeling' as FSIS has stated. There is a great 
    deal of analysis, planning, and designing that goes into each nutrition 
    panel. It is simply not a case of printing information that is already 
    dictated as is the case for the handling instructions.'' Additionally, 
    one commenter questioned whether the incremental cost of complying with 
    the label requirement versus the pamphleting option during the April 15 
    and July 6 period for noncomminuted products could be justified by any 
    demonstrable benefit. However, one consumer group requested that 
    implementation of these requirements not be delayed for any reason, 
    because of the risks of foodborne illness associated with raw meat and 
    poultry.
        FSIS has been persuaded by the comments that in some cases it might 
    be impractical to achieve compliance with a 30-day implementation 
    requirement for comminuted products and an April 15 requirement for 
    other products. However, the Agency does not agree that businesses will 
    require 4 months to comply. A commenter that calculated 4 months as a 
    minimum included time for sketch approval by FSIS in its calculation. 
    That step is not required for these generically approved labels. They 
    also included a period of time to exhaust preexisting label 
    inventories. This is not a factor that impacts on the feasibility of 
    obtaining complying labels. Additionally, they did not consider such 
    alternatives to complete label redesign as pressure-sensitive labels. 
    The latter approach could obviate both time concerns and concerns over 
    utilization of existing label inventories. Finally, many firms 
    demonstrated the ability to make the required label changes within the 
    2 months following the publication of the interim rule on August 16, 
    1993. Their performance certainly belies the notion that 4 months is a 
    minimum required to achieve compliance.
        FSIS will extend the implementation requirement for the labeling of 
    comminuted products to 60 days after publication and the labeling of 
    other products to July 6, 1994. The Agency believes that the high level 
    of voluntary compliance before these required dates will minimize the 
    impact of extending the timeframes for implementation and eliminating 
    the pamphleting requirement. The Agency believes that these extended 
    timelines will provide retailers as well as establishments the needed 
    time for those companies having difficulty obtaining the necessary 
    labeling. Additionally, it will allow some businesses to make one label 
    change to incorporate both safe handling instructions and nutrition 
    labeling at a cost savings. Many retailers as well as official 
    establishments have already voluntarily complied with this regulation 
    by providing safe handling labels, brochures and other point of sale 
    information. In addition, the Department's educational efforts to 
    inform the public of the need to safely handle and prepare meat and 
    poultry as well as other food products along with publicity surrounding 
    the rule has increased the public's awareness of the necessity and 
    requirements of safe food handling. A major joint voluntary effort to 
    educate consumers began last year. The Food Marketing Institute, the 
    American Meat Institute and the National Livestock and Meat Board, in 
    cooperation with the USDA and FDA, developed ``A Consumer Guide to Safe 
    Handling and Preparation of Ground Meat and Ground Poultry.'' The 
    brochures are for consumers and for food service operators. Each 
    brochure discusses proper handling, preparation and storage methods for 
    ground meat and ground poultry and emphasizes three key points (the 
    three C's): keep it cold; keep it clean; and cook it. These interim 
    measures should minimize the impact of extending the timelines for 
    implementation of these labeling requirements.
        Three commenters suggested that FSIS permit companies up to 18 
    months to exhaust supplies of labels that do not include the safe 
    handling instructions since it would be an economic and environmental 
    burden to discard packaging materials. One commenter cited the 
    nutrition regulation which gave an 18 month implementation time and 
    suggested a similar implementation time. Three additional commenters 
    requested that FSIS permit companies up to 1 year after the effective 
    date of the regulation to use labels with safe handling instructions 
    required by the interim rule. They state that materials were ordered in 
    good faith to comply with the interim rule and it would be an economic 
    burden to destroy such materials. Commenters stated that due to low 
    volume sales of certain products, they expect to have over a year's 
    supply of labels with the original safe handling instructions.
        FSIS does not believe that 18 months or even 1 year should be given 
    to exhaust packaging materials that do not include the safe handling 
    instructions. Implementation time required for the nutrition 
    regulations cannot be compared to the safe handling regulations since 
    the two are very different. The safe handling regulations prescribe the 
    exact language required on the label and do not require time consuming 
    laboratory analysis or interpretation of extensive rules regarding 
    formats, serving sizes, claims, etc. However, FSIS has been persuaded 
    by the comments to permit safe handling instructions provided in both 
    the August 16, 1993, interim rule and the October 12, 1993, final rule 
    to be used for 1 year past the effective date of this final rule. The 
    label required under this final rule is unchanged from the label 
    required in the October 12, 1993, final rule.
    
    Product Appropriateness and Inclusiveness
    
        Eleven commenters suggested that we narrow the focus of the 
    regulation making safe handling instructions mandatory on ground meat 
    and poultry products and voluntary on all other meat and poultry 
    products. Many stated that the proposed rule was overly broad and that 
    no evidence was presented to support the requirement of safe handling 
    instructions on products other than ground products. They suggested the 
    labeling effort would be more effective if ground products were 
    targeted so that the information would have a proper impact with 
    consumers. In addition, they stated that to blanket every package in 
    the meat case with the same message would in effect make the message 
    invisible because it would be so repetitive.
        Several commenters questioning the scope of the regulation cited 
    information from the preamble of the August 2, 1993, Uncured Meat 
    Pattie regulation which stated ``The likelihood of foodborne illness is 
    not the same in all beef products or all hamburger-type products. 
    Ground meat presents a different risk than whole muscle cuts such as 
    steaks, roasts, or chops * * * the production process for ground meat 
    assures that any present pathogens will be distributed throughout the 
    product, including the interior, while bacteria tend to remain on the 
    surface of steaks, roasts, and chops. This factor has major 
    implications for the cooking process. Because a rare steak is 
    thoroughly cooked at the surface, one can presume that pathogenic 
    bacteria present are killed.'' They proposed limiting this labeling to 
    ground products. One additional commenter objected to pork products in 
    9 CFR 318.10(a) being suddenly drawn into the proposed regulation.
        FSIS agrees that comminuted products present a greater potential 
    threat to public health than whole muscle cuts. For this reason, FSIS 
    is requiring that comminuted products be labeled with safe handling 
    instructions within 60 days after publication of this final rule. As 
    cited elsewhere in this preamble, many outbreaks of E. coli 0157:H7 
    food poisoning in the past year have been epidemiologically linked to 
    the consumption of comminuted products. However, E. coli 0157:H7 is not 
    the only pathogen targeted in this rulemaking proceeding. The proposed 
    rule also cited statistics relating to illness, death, and medical and 
    productivity cost due to other bacteria, including Salmonella, 
    Camphylobacter jejuni or coli, Listeria monocytogenes, and parasites, 
    including Toxoplasma gondii, Trichinella spiralis, Taenia saginata, and 
    Taenia solium.
        The safe handling instructions were designed to cover the four 
    broad parameters of food safety and to prevent outbreaks of foodborne 
    illness resulting from all sources, not just E. coli 0157:H7 in ground 
    beef. Meat and poultry products are known carriers of the pathogenic 
    bacteria and parasites identified in the proposed rule and compliance 
    with the safe handling instructions will prevent some foodborne 
    illnesses and deaths. To require safe handling instructions exclusively 
    on ground meat and poultry might lead consumers to mistakenly believe 
    that other raw or partially cooked meat and poultry products are 
    without risk, and ignores the concern for public health arising from 
    the presence of pathogenic organisms on all types of raw and partially 
    cooked meat and poultry products. It is important to remember that the 
    safe handling instructions include parameters of safe handling beyond 
    cooking instructions. In addition, the scope of the proposed regulation 
    is supported by one official establishment which stated that all types 
    of meat and poultry products should be required to have safe handling 
    instructions since bacterial contamination can take place on any cut or 
    type of meat and one meat trade association which stated that even 
    products traditionally well cooked in the home need to carry safe 
    handling instructions due to the possibility of cross contamination.
        Regarding the inclusion of certain pork products in 9 CFR 
    318.10(a), these products have not suddenly been drawn into the safe 
    handling regulation. These products were included in the interim rule 
    as products needing safe handling instructions. The commenter 
    misinterpreted this section.
        One meat trade association questioned the fact that FSIS has taken 
    no initiative to seek FDA efforts to have foods under FDA jurisdiction 
    similarly labeled. FSIS will advise the Food and Drug Administration of 
    the concerns expressed by commenters.
        Nine commenters recommended that safe handling instructions not be 
    required for products such as frozen dinners and entrees. Several 
    reasons were given as to why such products do not need safe handling 
    instructions. Commenters stated that FSIS has provided no evidence that 
    such products present a meaningful health risk to consumers. In 
    addition, they state that the four safe handling instructions either 
    appear on the labels already or are unnecessary for frozen dinners and 
    entrees. The commenters state that other regulations require a handling 
    statement on the label, thus the refrigeration statement is redundant 
    and unnecessary. Most of the products are not handled directly by 
    consumers and there is no contact between the products and working 
    surfaces, making the cross contamination statement unnecessary. Frozen 
    dinners and entrees already contain very specific cooking instructions 
    which are far superior to ``cook thoroughly.'' Lastly, most products 
    are single serve items making the statement on leftovers inapplicable, 
    however, many manufacturers currently include statements such as 
    ``Promptly refrigerate any unused portion'' on their labels.
        FSIS disagrees with these comments. While frozen dinners and 
    entrees probably pose a relatively lower risk of foodborne illness than 
    fresh meat and poultry products, these products are vulnerable to the 
    same mishandling risks associated with fresh product. Freezing is not 
    considered a pathogen destruction step, but will only slow their 
    growth. The Agency believes it is prudent to require the safe handling 
    instructions on these types of frozen products if the meat portion is 
    either uncooked or partially cooked. Since current instructions for 
    handling frozen dinners and entrees varies from manufacturer to 
    manufacturer the safe handling instructions will provide a consistent 
    and uniform message. In addition, none of the current handling 
    instructions include a rationale statement which explains to consumers 
    why it is important to follow the prescribed instructions and the 
    focus-study research indicated that the rationale statement was an 
    integral part of the safe handling instructions.
        The Texas Department of Health recommended that the exemption for 
    custom slaughter products be eliminated. They state that these products 
    are as likely to contain harmful or pathogenic bacteria that could 
    cause illness if mishandled. However, they suggest that labeling each 
    individual package is not necessary since the product goes back to the 
    owner for use. One meat trade association suggested that we retain the 
    custom exemption since elimination of the exemption could cause more 
    owners to do their own farm slaughter and processing which would result 
    in a greater danger of meat and poultry contamination.
        FSIS is not persuaded by the comments to eliminate the exemption of 
    custom slaughtered products. While the Agency encourages the 
    distribution of safe handling information with products slaughtered 
    under the exemption, labeling is not required for such products if they 
    are marked ``not for sale.''
    
    Location of Information on Label
    
        One official establishment and two meat trade associations misread 
    the proposal as requiring that the labels be placed on either the 
    principal display panel or the information panel. One poultry trade 
    association on behalf of an official establishment requested FSIS to 
    permit the safe handling instructions to appear on the back of an 
    insert label with a referral statement on the front informing consumers 
    that the instructions were on the back.
        One consumer group stated that placement of the safe handling 
    instructions anywhere on the label as to render it likely to be read is 
    ambiguous and will likely result in lengthy disputes regarding its 
    meaning. They recommended that FSIS revert to the original requirement 
    from the interim regulation on the placement, i.e., on the principal 
    display panel or information panel, which will have the same result 
    while avoiding unnecessary disputes and litigation.
        FSIS is not persuaded by the comments to make any changes in the 
    placement of the safe handling instructions. The instructions may be 
    placed anywhere on the outside label where they will be visible at the 
    time of purchase. Several of the commenters must have misread the 
    proposal when they objected to placement of the instructions on the 
    principal display panel or the information panel. The interim rule 
    required such placement but comments persuaded FSIS to allow 
    flexibility in the placement of the safe handling instructions. We do 
    not believe that the current language is ambiguous or will lead to 
    lengthy disputes.
        Several commenters stated that FSIS ignored the previous comments 
    that packages would be too small to carry all mandatory information. As 
    stated in the previous final regulation, FSIS is not aware of labels 
    smaller than those on 12 ounce chubs that would likely require safe 
    handling instructions. FSIS believes that labels will be large enough 
    to accommodate all mandatory information due to the flexibility 
    provided by the safe handling and nutrition regulations. FSIS received 
    no comments which provided examples of packages that could not 
    accommodate both features.
    
    Rationale Statement
    
        Five commenters suggested changes to the rationale statement. One 
    retail store, one grocers association and one meat association 
    recommended that since all meat and poultry sold in commerce was 
    inspected and passed by either Federal or State authorities, FSIS 
    should permitted the following on all products, ``This product was 
    inspected for your safety.'' These groups suggested the second sentence 
    be changed to ``Food products must be handled and prepared properly to 
    prevent potential illness.'' This would emphasize the positive rather 
    than negative aspects of proper food handling. In addition one 
    commenter suggested the option of a singular ``meat'' or ``Poultry'' 
    label. Two consumer groups suggested that the rationale statement did 
    not appraise consumers of the true threat bacterial contamination poses 
    and may even give consumers a false sense of confidence about the 
    safety of the product. Suggested change included eliminating the first 
    sentence of the rationale, the use of a ``warning,'' mentioning the 
    possibility of death, and adding descriptions of the symptoms of 
    foodborne illness. FSIS concluded that the proposed rationale statement 
    strikes a good balance that will neither scare consumers away from meat 
    and poultry products nor cause them to ignore risks of foodborne 
    illness. Given that, and the overwhelming acceptance of the single 
    label message which will reduce the likelihood of errors, no changes 
    are made or further flexibility permitted in the final rule.
        Additionally, one commenter stated that a different rationale 
    statement should be permitted for irradiated product. They suggested 
    that a reference should be made to the reductions in bacterial counts 
    that irradiation produces. While FSIS does not agree with this comment, 
    it anticipates addressing the issue of label claims related to emerging 
    pathogen reduction treatments in the future. However, these statements 
    should not be a substitute for the required safe handling instructions 
    since the handling statements also apply to treated products.
    
    Handling Statements
    
        Some commenters suggested allowing flexibility on the cross 
    contamination, cooking, and leftover statements similar to the 
    flexibility permitted in the proposal for the refrigeration statement. 
    Three commenters suggested that deviations in the statements could be 
    approved through the prior approval system.
        FSIS does not agree with these comments. In the long term, 
    differences between label messages would work against consumer 
    recognition of the one label message. In addition, this is supported by 
    five commenters who recommended that FSIS make no changes in the text 
    of the safe handling statements and one commenter that stated that it 
    was in the best interest of both consumers and the industry to have 
    only one set of safe handling instructions since the existence of more 
    than one statement would only contribute to consumer and industry 
    confusion.
        One commenter suggested that we require the FSIS Hotline number 
    with the label. The Meat and Poultry Hotline telephone number may be 
    included on other parts of the label. FSIS does not have enough 
    information about the impact of including this phone number on the 
    label. Requiring it on 15 billion packages of product per year might 
    easily overwhelm the Hotline resources.
        One fast-food restaurant chain suggested that FSIS permit 
    deviations in the refrigeration statement, as well as in other 
    statements, if they conflicted with company policy or other printed 
    company materials including operating manuals. FSIS is not persuaded by 
    this comment to make any changes in the regulation. FSIS believes that 
    the flexibility provided for the refrigeration statement is adequate to 
    accommodate the only significant area of concern identified.
        Two commenters suggested that FSIS add a recommendation for 
    disinfecting or sanitizing hard surfaces because washing cutting boards 
    with soap and water will not guarantee elimination of pathogens. One of 
    the commenters suggested that this be included in leaflets containing 
    other expanded information, such as cooking temperatures. They 
    recommend that the leaflets be required to be available at the point-
    of-sale in addition to the safe handling labels on the products.
        Washing of working surfaces has been found to be an effective means 
    of reducing pathogens on cutting boards, utensils, etc. Use of a 
    sanitizing agent would add another margin of safety, however, FSIS 
    believes that the current message conveys the importance of washing 
    working surfaces that have contacted raw product. This was further 
    supported by the focus-study research. Participants preferred short 
    word messages, and indicated that the longer the messages, the less 
    likely consumers would be to read them. While FSIS encourages programs 
    to provide additional information on safe handling at the point-of-
    sales, it believes that additional verbiage might detract from the 
    efficacy of the label.
        One commenter suggested that the cross contamination statement be 
    revised to include washing before and after contact with raw meat and 
    poultry. While FSIS agrees that this is a good practice, the focus of 
    these statements is avoidance of contamination of other ready-to-eat 
    foods with raw meat and poultry products. This change will not be 
    incorporated.
        Six commenters stated that more explicit cooking instructions were 
    necessary. The commenters suggested that visual signs of doneness and/
    or internal temperatures be required or at least allow the flexibility 
    in the cooking statement to include such information. One commenter 
    recommended that FSIS provide the proscribed internal cooking 
    temperatures for each type of raw meat and poultry that would be 
    labeled as well as a descriptive statement to accompany the internal 
    cooking temperature. One suggested that a descriptive visual definition 
    will provide safeguards for any consumer who is unable or unwilling to 
    measure the internal temperature of their meat. One consumer group 
    suggested that visual keys were preferable to the use of internal 
    temperatures, as consumers may misunderstand the internal temperature 
    to be a cooking temperature. They stated that it is critical to provide 
    more specific cooking instructions since there is no single definition 
    of ``thoroughly cooked'' among consumers. One meat trade association 
    stated that the cooking instructions were adequate for the safe 
    handling label because consumers want simple accurate information. In 
    addition, they stated that it would be more appropriate to include more 
    detailed handling information in a brochure or pamphlet which could be 
    distributed at the point-of-purchase.
        FSIS does not believe it would be appropriate to add either an 
    endpoint temperature or more comprehensive cooking directions because 
    cooking temperatures and other visual indications of doneness vary by 
    product. As stated above, this labeling is not intended to replace 
    comprehensive cooking statements that accompany many products. 
    Additionally, as cited earlier, more complex messages might reduce the 
    likelihood of consumer use of the label.
        A consumer group suggested that FSIS include a time limit with the 
    leftover statement, such as the two hours mentioned in the interim 
    regulation. Another commenter representing a restaurant chain suggested 
    that the leftover statement be eliminated in situations where company 
    policy strictly controls holding time for products and the sale of 
    leftover meat and poultry products is not permitted.
        FSIS is not persuaded by these comments to make any changes in the 
    leftover statement. The Agency believes that current language conveys 
    appropriate information on the importance of prompt refrigeration of 
    leftovers. In addition, the leftover statement is broad enough so as 
    not to conflict with the described company policy.
    
    Symbols
    
        Six retailers and their associations commented on the symbols 
    required by the proposed regulation. They stated the symbols were 
    possibly misleading, do not effectively enhance the message and are 
    meaningless without the word message. In addition, the commenters 
    stated that the symbols were likely to confuse those who can read the 
    label as well as those who cannot read. A specific example cited was 
    that the frying pan may suggest that frying is the preferred method of 
    cooking. In addition, the use of symbols also substantially increases 
    costs to retailers. The commenters recommended that the symbols be 
    eliminated.
        One consumer group and one meat trade association supported the use 
    of the symbols. The consumer group stated that the symbols provide 
    important information to those who cannot read English and serve as a 
    reminder of the written instructions to those who have read them. The 
    symbols also draw attention to the labels and convey the instructions 
    to the consumers instantaneously. However, they do not believe the 
    symbol for the cross contamination message is clear or effectively 
    illustrated the need to keep raw meat and poultry separate from other 
    foods.
        One USDA Agency suggested that the frying pan be replaced by a pot. 
    This Agency believes that the skillet might be interpreted as a 
    suggestion that the meat be fried, which is inconsistent with 
    nutritional recommendations of the Department. Our focus-study research 
    on labels has indicated that short messages with visual symbols are 
    more acceptable to consumers as a means of alerting them to actions 
    they should take. Symbols convey messages to individuals who have 
    difficulty reading English. The symbols provide visual reminders of 
    actions consumers should take to handle food safely. The symbols were 
    modified from those originally considered to reflect suggestions from 
    participants of the focus-study research and public comments. Regarding 
    the cross contamination symbol, FSIS agrees that the symbol addresses 
    the cleaning portion of the message. However, since no feasible 
    alternatives were offered for the symbol of the soapy hands under a 
    faucet, FSIS will not make any changes in the symbol. Finally, 
    regarding the objections to the skillet symbol, FSIS believes that the 
    skillet is a more recognizable symbol than a pot, given the scale of 
    its representation. Additionally, the Agency considers the likelihood 
    of resulting confusion over preferred cooking method to be low. 
    Therefore, FSIS is retaining the skillet symbol as proposed.
        FSIS is adopting the proposed rule as a final rule with the changes 
    as discussed above. Labels prepared in accordance with the August 16, 
    1993, interim rule may be used for 1 year past the effective date of 
    this final rule.
    
    List of Subjects
    
    9 CFR 317
    
        Food labeling, Meat inspection.
    
    9 CFR 381
    
        Food labeling, Poultry inspection.
    
    Final Rule
    
        For the reasons discussed in the preamble, FSIS is amending 9 CFR 
    parts 317 and 381 of the Federal meat and poultry products inspection 
    regulations to read as follows:
    
    PART 317--LABELING, MARKING DEVICES, AND CONTAINERS
    
        1. The authority citation for part 317 continues to read as 
    follows:
    
        Authority: 21 U.S.C. 601-695; 7 CFR 2.17, 2.55.
    
        2. Section 317.2 is amended by adding a new paragraph (1) to read 
    as follows:
    
    
    Sec. 317.2  Labels; definition; required features.
    
    * * * * *
        (l) Safe handling instructions shall be provided for: All meat and 
    meat products of cattle, swine, sheep, goat, horse, or other equine not 
    heat processed in a manner that conforms to the time and temperature 
    combinations in the Table for Time/Temperature Combination For Cooked 
    Beef, Roast Beef, and Cooked Corned Beef in Sec. 318.17, or that have 
    not undergone other further processing that would render them ready-to-
    eat; and all comminuted meat patties not heat processed in a manner 
    that conforms to the time and temperature combinations in the Table for 
    Permitted Heat-Processing Temperature/Time Combinations For Fully-
    Cooked Patties in Sec. 318.23; except as exempted under paragraph 
    (l)(4) of this section.
        (1)(i) Safe handling instructions shall accompany every meat or 
    meat product, specified in this paragraph (l) destined for household 
    consumers, hotels, restaurants, or similar institutions and shall 
    appear on the label. The information shall be in lettering no smaller 
    than one-sixteenth of an inch in size and shall be prominently placed 
    with such conspicuousness (as compared with other words, statements, 
    designs or devices in the labeling) as to render it likely to be read 
    and understood by the ordinary individual under customary conditions of 
    purchase and use.
        (ii) The safe handling information shall be presented on the label 
    under the heading ``Safe Handling Instructions'' which shall be set in 
    type size larger than the print size of the rationale statement and 
    handling statements as discussed in paragraphs (l)(2) and (l)(3) of 
    this section. The safe handling information shall be set off by a 
    border and shall be one color type printed on a single color 
    contrasting background whenever practical.
        (2) The labels of the meat and meat products specified in this 
    paragraph (l) shall include the following rationale statement as part 
    of the safe handling instructions, ``This product was prepared from 
    inspected and passed meat and/or poultry. Some food products may 
    contain bacteria that could cause illness if the product is mishandled 
    or cooked improperly. For your protection, follow these safe handling 
    instructions.'' This statement shall be placed immediately after the 
    heading and before the safe handling statements.
        (3) Meat and meat products, specified in this paragraph (l), shall 
    bear the labeling statements:
        (i) Keep refrigerated or frozen. Thaw in refrigerator or microwave. 
    (Any portion of this statement that is in conflict with the product's 
    specific handling instructions, may be omitted, e.g., instructions to 
    cook without thawing.) (A graphic illustration of a refrigerator shall 
    be displayed next to the statement.);
        (ii) Keep raw meat and poultry separate from other foods. Wash 
    working surfaces (including cutting boards), utensils, and hands after 
    touching raw meat or poultry. (A graphic illustration of soapy hands 
    under a faucet shall be displayed next to the statement.);
        (iii) Cook thoroughly. (A graphic illustration of a skillet shall 
    be displayed next to the statement.); and
        (iv) Keep hot foods hot. Refrigerate leftovers immediately or 
    discard. (A graphic illustration of a thermometer shall be displayed 
    next to the statement.)
        (4) Meat or meat products intended for further processing at 
    another official establishment are exempt from the requirements 
    prescribed in paragraphs (l)(1) through (l)(3) of this section.
        3. Section 317.5 is amended by deleting the word ``or'' following 
    the semicolon at the end of paragraph (b)(12), replacing the period at 
    the end of paragraph (b)(13) with a semicolon followed by the word 
    ``or'', and adding a new paragraph (b)(14) to read as follows:
    
    
    Sec. 317.5  Generically approved labeling.
    
    * * * * *
        (b) * * *
        (14) The addition of safe handling instructions as required by 
    Sec. 317.2 of this subchapter.
        4. The authority citation for part 381 continues to read as 
    follows:
    
    
        Authority: 7 U.S.C. 450, 21 U.S.C. 451-470; 7 CFR 2.17, 2.55.
    
    
        5. Section 381.125 is amended by designating the current paragraph 
    as (a) and adding a new paragraph (b) to read as follows:
    
    
    Sec. 381.125  Special handling label requirements.
    
    * * * * *
        (b) Safe handling instructions shall be provided for all poultry 
    products not heat processed in accordance with the provisions of 
    Sec. 381.150(b) or that have not undergone other further processing 
    that would render them ready-to-eat, except as exempted under paragraph 
    (b)(4) of this section.
        (1) (i) Safe handling instructions shall accompany the poultry 
    products, specified in this paragraph (b), destined for household 
    consumers, hotels, restaurants, or similar institutions and shall 
    appear on the label. The information shall be in lettering no smaller 
    than one-sixteenth of an inch in size and shall be prominently placed 
    with such conspicuousness (as compared with other words, statements, 
    designs or devices in the labeling) as to render it likely to be read 
    and understood by the ordinary individual under customary conditions of 
    purchase and use.
        (ii) The safe handling information shall be presented on the label 
    under the heading ``Safe Handling Instructions'' which shall be set in 
    type size larger than the print size of the rationale statement and 
    handling statements as discussed in paragraphs (b)(2) and (b)(3) of 
    this section. The safe handling information shall be set off by a 
    border and shall be one color type printed on a single color 
    contrasting background whenever practical.
        (2) (i) The labels of the poultry products, specified in this 
    paragraph (b) and prepared from inspected and passed poultry, shall 
    include the following rationale statement as part of the safe handling 
    instructions, ``This product was prepared from inspected and passed 
    meat and/or poultry. Some food products may contain bacteria that could 
    cause illness if the product is mishandled or cooked improperly. For 
    your protection, follow these safe handling instructions.'' This 
    statement shall be placed immediately after the heading and before the 
    safe handling statements.
        (ii) The labels of the poultry products, specified in this 
    paragraph (b) and prepared pursuant to Sec. 381.10(a) (2), (5), (6), 
    and (7), shall include the following rationale statement as part of the 
    safe handling instructions, ``Some food products may contain bacteria 
    that could cause illness if the product is mishandled or cooked 
    improperly. For your protection, follow these safe handling 
    instructions.'' This statement shall be placed immediately after the 
    heading and before the safe handling statements.
        (3) Poultry products, specified in this paragraph (b), shall bear 
    the labeling statements.
        (i) Keep refrigerated or frozen. Thaw in refrigerator or microwave. 
    (Any portion of this statement that is in conflict with the product's 
    specific handling instructions may be omitted, e.g., instructions to 
    cook without thawing.) (A graphic illustration of a refrigerator shall 
    be displayed next to the statement.);
        (ii) Keep raw meat and poultry separate from other foods. Wash 
    working surfaces (including cutting boards), utensils, and hands after 
    touching raw meat or poultry. (A graphic illustration of soapy hands 
    under a faucet shall be displayed next to the statement.);
        (iii) Cook thoroughly. (A graphic illustration of a skillet shall 
    be displayed next to the statement.); and
        (iv) Keep hot foods hot. Refrigerate leftovers immediately or 
    discard. (A graphic illustration of a thermometer shall be displayed 
    next to the statement.)
        (4) Poultry products intended for further processing at another 
    official establishment are exempt from the requirements prescribed in 
    paragraphs (b)(1) through (b)(3) of this section.
        6. Section 381.134 is amended by deleting the word ``or'' following 
    the semicolon at the end of paragraph (b)(12), replacing the period at 
    the end of paragraph (b)(13) with a semicolon followed by the word 
    ``or'', and adding a new paragraph (b)(14) to read as follows:
    
    
    Sec. 381.134  Generically approved labeling.
    
    * * * * *
        (b) * * *
        (14) The addition of safe handling instructions as required by 
    Sec. 381.125 of this subchapter.
    
        Done at Washington, DC, on March 23, 1994.
    Patricia Jensen,
    Acting Assistant Secretary, Marketing and Inspection Services.
    [FR Doc. 94-7217 Filed 3-25-94; 8:45 am]
    BILLING CODE 3410-DM-M
    
    
    

Document Information

Effective Date:
5/27/1994
Published:
03/28/1994
Department:
Food Safety and Inspection Service
Entry Type:
Uncategorized Document
Action:
Final rule.
Document Number:
94-7217
Dates:
This regulation is effective May 27, 1994. The compliance date for comminuted meat and poultry products is May 27, 1994, and the compliance date for all other meat and poultry products is July 6, 1994.
Pages:
0-0 (None pages)
Docket Numbers:
Federal Register: March 28, 1994, Docket No. 93-026F
RINs:
0583-AB67
CFR: (5)
9 CFR 381.150(b)
9 CFR 317.2
9 CFR 317.5
9 CFR 381.125
9 CFR 381.134