The Basics of the U.S. FDA s Regulation of Materials Used in Food Packaging Applications

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The Basics of the U.S. FDA s Regulation of Materials Used in Food Packaging Applications RadTech UV & EB Technology Expo & Conference 2012 Presented by David J. Ettinger Partner Keller and Heckman LLP Washington, DC 20001 ettinger@khlaw.com April 30, 2012 www.khlaw.com Washington, D.C. Brussels San Francisco Shanghai

Agenda FDA s regulation of food contact materials FDA's regulation of printing inks used in food contact materials 2

FDA s Regulation of Food Contact Materials www.khlaw.com Washington, D.C. Brussels San Francisco Shanghai

How Are Food-Contact Materials Regulated in the United States? Food-contact materials are regulated in the U.S. as food additives Food additives are presumed to be unsafe unless a suitable FDA status has been established 4

1958 Food Additives Amendment This law led to the requirement that all food additives had to be pre-cleared by FDA before one could legally market the substance in the U.S. The law was passed because there was concern that things were being added to food, or becoming components of food, that were not safe and causing cancer 5

Food Additives What is a Food Additive? Any substance that is reasonably expected to become a component of food under the intended conditions of use, unless the substance is subject to an exemption. Some exemptions include: The substance is prior-sanctioned The substance is generally recognized as safe (GRAS) 6

One Type of Additive: Direct Additives Substances added directly to food AND have a technical effect in or on the food 7

Another Type of Additive: Indirect Additives Substances that may become a component of (or migrate to) food BUT are not intended to have a technical effect in or on the food 8

Regulation of Food Additives Food Additive? Yes No Must be pre-cleared by FDA, unless an exemption exists No preclearance required 9

If the substance is a food additive: It must be subject to a clearance: Food Additive Regulation Threshold of Regulation Food Contact Notification (FCN) 12

FDA s Food Additive Regulations 13

Threshold of Regulation 15

Food Additive Exemptions The U.S. Food, Drug, and Cosmetic Act sets forth the legal requirement that food additives must be pre-cleared by FDA However, in the Act, there are two exemptions: If the substance is Prior Sanctioned OR If the substance is generally recognized as safe (GRAS) Then the substance is not a food additive 17

Prior Sanctioned Prior to 1958, companies would ask FDA, informally, for its authorization of a food-contact substance If the substance was deemed acceptable (safe) by FDA, the Agency issued a letter to the company and the company would keep the letter in its files Under U.S. law, a substance subject to an FDA letter prior to 1958 is considered prior sanctioned and thus not a food additive 18

The Problem with Prior Sanction Most of the letters issued by FDA are so old that they no longer exist. Most were thrown out by FDA!! What can you do? Look at the Lehman List and Part 181 in the Code of Federal Regulations Caveat: If you have a letter from FDA, or you can rely on a listing in Part 181, you must use the substance within the limitations set forth in the letter or listing 19

Lehman List 20

Generally Recognized as Safe (GRAS) There are a variety of ways of reaching a GRAS conclusion: Commonly used in food prior to 1958 Scientific procedures Listed in GRAS regulations (Parts 182, 184, and 186) 21

Generally Recognized as Safe (GRAS) Commonly used in food prior to 1958 Palmitic acid Casein 22

Generally Recognized as Safe (GRAS) If not commonly used in food prior to 1958, then you can rely on scientific procedures: Must show consensus of experts (general recognition) deem substance to be safe, based on published safety data 23

Generally Recognized as Safe (GRAS) Some GRAS substances listed in regulations (Parts 182, 184, 186) 24

Other Exemptions: No Migration What if the substance is NOT: GRAS Prior Sanctioned Remember: If the substance is not reasonably expected to become a component, it is not a food additive under the law and FDA premarket clearance is not required. So, if a substance doesn t migrate to food under the intended conditions of use, you can legally market the substance by taking what is commonly referred to as: A No Migration No Food Additive Position 25

No Migration No Food Additive There is U.S. case law to support a No Migration No Food Additive position: Monsanto v. Kennedy: FDA must find a substance migrates into food in more than insignificant amounts to consider it a food additive Food Contact Substance Food Food Additive 26

Functional Barrier Substances separated from food by a barrier that prevents their migration to food are not properly considered to be food additives 27

Remember Suitable Purity! Section 174.5(a)(2) of FDA s regulations: Any substance used as a component of articles that contact food shall be of a purity suitable for its intended use. So, even if your substance is otherwise cleared by FDA (e.g., subject to a food additive regulations or FCN), it must still be suitably pure for the intended use 28

Section 174.5 Suitable Purity Packaging must not cause food to be: Unsafe Unfit for consumption (i.e., affect the organoleptic properties of the food) Taste Smell Appearance 29

FDA s Regulation of Printing Inks used in Food Contact Materials www.khlaw.com Washington, D.C. Brussels San Francisco Shanghai

Printing Inks Inks used to print food on packaging materials are considered colorants by FDA, i.e., potential food additives Colorants used in food packaging are not considered color additives (see 21 CFR 70.3(f)) unless they impart color to food that is visible to the naked eye 30

Printing Inks Inks, overlaquers, primers, solvents or any other substance in a printing ink system for food packaging are evaluated as any other packaging component Is there a reasonable expectation that the ink or its components could migrate to food? 31

Printing Inks If ink component may reasonably be expected to migrate to food, then options are our standard ones: Regulatory clearance under parts 170 179; GRAS position based on listings, toxicity data or low exposure; Prior sanctioned; TOR exemption letter; or Applicable Food Contact Notification 32

Printing Inks Unlike coatings and adhesives, there is no FDA regulation that specifically clears inks used in food packaging However, many ink components are found in 21 CFR 178.3297 ( Colorants for polymers ) or, 21 CFR 176.170 ( Components of paper and paperboard in contact with aqueous and fatty foods ) if used in paper applications Stand-alone regulations such as 21 C.F.R. 177.1520 ( Olefin polymers ) (for polyolefin carrier) 33

Printing Inks Many inks are on the market based on existence of a functional barrier between the ink and food As always, potential for migration depends on: MW and concentration of ink component, Type/thickness of material separating food from ink, Type of food, and Duration and temperature of exposure 34

Printing Inks Offset Issues Be aware of offset of inks from rolled or stacked packaging material: Ink from the printed exterior of a package transfers to food contact side during the storage and handling of the packaging material GMP issue Monitoring and assessment needed to avoid contamination 35

Resources for you FCN Inventory: http://www.accessdata.fda.gov/scripts/fcn/fcnnavigation.cfm? rpt=fcslisting&displayall=true GRAS Notice Inventory: http://www.accessdata.fda.gov/scripts/fcn/ fcnnavigation.cfm?rpt=graslisting TOR Inventory: http://www.fda.gov/food/foodingredientspackaging/ FoodContactSubstancesFCS/ucm093685.htm 36

Resources for you FCN Administrative Guidance: http://www.fda.gov/food/ GuidanceComplianceRegulatoryInformation/GuidanceDocuments/FoodIngredientsandPackaging/ ucm081807.htm FCN Chemistry Guidance: http://www.fda.gov/food/ GuidanceComplianceRegulatoryInformation/GuidanceDocuments/FoodIngredientsandPackaging/ ucm081818.htm FCN Toxicology Guidance: http://www.fda.gov/food/ GuidanceComplianceRegulatoryInformation/GuidanceDocuments/FoodIngredientsandPackaging/ ucm081825.htm 37

Thank you David J. Ettinger Partner Keller and Heckman LLP 1001 G Street, N.W. Washington, DC 20001 202-434-4272 ettinger@khlaw.com www.khlaw.com Washington, D.C. Brussels San Francisco Shanghai