80_FR_35296 80 FR 35178 - Control of Listeria monocytogenes in Ready-to-Eat Meat and Poultry Products

80 FR 35178 - Control of Listeria monocytogenes in Ready-to-Eat Meat and Poultry Products

DEPARTMENT OF AGRICULTURE
Food Safety and Inspection Service

Federal Register Volume 80, Issue 118 (June 19, 2015)

Page Range35178-35188
FR Document2015-13507

The Food Safety and Inspection Service (FSIS) is affirming, with changes and a request for comment, the interim final rule ``Control of Listeria monocytogenes in Ready-to-Eat Meat and Poultry Products,'' which was published in the Federal Register on June 6, 2003. FSIS is making minor changes to the regulatory provisions in response to comments that the Agency received, on the basis of experience in implementing the provisions, and because the way FSIS obtains establishment profile information electronically has changed. FSIS is clarifying in the regulations that establishments may not release into commerce product that has been in contact with Listeria monocytogenes (Lm)-contaminated surfaces without reprocessing the product. In addition, FSIS is removing the requirement for establishments to report production volume and related information to FSIS because the Agency now routinely collects this information through its Public Health Information System (PHIS).

Federal Register, Volume 80 Issue 118 (Friday, June 19, 2015)
[Federal Register Volume 80, Number 118 (Friday, June 19, 2015)]
[Rules and Regulations]
[Pages 35178-35188]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-13507]


-----------------------------------------------------------------------

DEPARTMENT OF AGRICULTURE

Food Safety and Inspection Service

9 CFR Part 430

[Docket No. FSIS-2014-0033]
RIN 0583-AD53


Control of Listeria monocytogenes in Ready-to-Eat Meat and 
Poultry Products

AGENCY: Food Safety and Inspection Service, USDA.

ACTION: Affirmation of the interim final rule with amendments; request 
for comments.

-----------------------------------------------------------------------

SUMMARY: The Food Safety and Inspection Service (FSIS) is affirming, 
with changes and a request for comment, the interim final rule 
``Control of Listeria monocytogenes in Ready-to-Eat Meat and Poultry 
Products,'' which was published in the Federal Register on June 6, 
2003. FSIS is making minor changes to the regulatory provisions in 
response to comments that the Agency received, on the basis of 
experience in implementing the provisions, and because the way FSIS 
obtains establishment profile information electronically has changed. 
FSIS is clarifying in the regulations that establishments may not 
release into commerce product that has been in contact with Listeria 
monocytogenes (Lm)-contaminated surfaces without reprocessing the 
product. In addition, FSIS is removing the requirement for 
establishments to report production volume and related information to 
FSIS because the Agency now routinely collects this information through 
its Public Health Information System (PHIS).

DATES: Effective September 17, 2015. Comments must be received on or 
before August 18, 2015.

ADDRESSES: FSIS invites interested persons to submit comments on the 
changes. Comments may be submitted by one of the following methods:
     Federal eRulemaking Portal: This Web site provides the 
ability to type short comments directly into the comment field on this 
Web page or attach a file for lengthier comments. Go to http://www.regulations.gov. Follow the on-line instructions at that site for 
submitting comments.
     Mail, including CD-ROMs, etc.: Send to Docket Clerk, U.S. 
Department of Agriculture, Food Safety and Inspection Service, Patriots 
Plaza 3, 1400 Independence Avenue SW., Mailstop 3782, Room 8-163A, 
Washington, DC 20250-3700.
     Hand- or courier-delivered submittals: Deliver to Patriots 
Plaza 3, 355 E. Street SW., Room 8-163A, Washington, DC 20250-3700.
    Instructions: All items submitted by mail or electronic mail must 
include the Agency name and docket number FSIS-2014-0033. Comments 
received in response to this docket will be made available for public 
inspection and posted without change, including any personal 
information, to http://www.regulations.gov.

FOR FURTHER INFORMATION CONTACT: Dr. Daniel L. Engeljohn, Assistant 
Administrator, Office of Policy and Program Development; Telephone: 
(202) 205-0495.

SUPPLEMENTARY INFORMATION:

Background

    On February 27, 2001, FSIS proposed (66 FR 12589) to establish 
several new requirements for the processing of ready-to-eat (RTE) and 
other meat and poultry products. The Agency proposed food safety 
performance standards for all RTE and all partially heat-treated meat 
and poultry products. FSIS also proposed to eliminate its regulations 
that require both RTE and not-ready-to eat pork and products containing 
pork to be treated to destroy trichina (Trichinella spiralis).
    Finally, FSIS proposed environmental testing requirements for 
establishments to verify whether their processes were addressing Lm in 
RTE meat and poultry products. Specifically, FSIS proposed to require 
establishments that produce RTE meat and poultry products to test food 
contact surfaces for Listeria species to verify that the establishments 
are controlling the presence of Lm within their processing 
environments. Under the proposal, establishments that developed and 
implemented Hazard Analysis and Critical Control Point (HACCP) controls 
for Lm would have been exempt from these testing requirements.

Interim Final Rule

    On June 6, 2003, FSIS published the interim final rule ``Control of 
Listeria monocytogenes in Ready-to-Eat Meat and Poultry Products'' (68 
FR 34208). In the interim final rule, FSIS amended its regulations only 
in regard to the control of Lm in RTE products. The Agency decided to 
adopt these regulations before completing action on the other

[[Page 35179]]

provisions of the proposed rule because of outbreaks of foodborne 
listeriosis, and because of recalls of meat and poultry products 
adulterated by Lm. FSIS plans to address the other proposed provisions 
in future Federal Register publications.
    The interim final regulations remain in effect. Under these 
regulations, an establishment that manufactures post-lethality-exposed 
RTE meat or poultry products must control Lm in the processing 
environment through its HACCP plan or prevent contamination of products 
by the pathogen through sanitation standard operating procedures 
(Sanitation SOPs) or other prerequisite program. The regulations (9 CFR 
430.4(b)(1)-(3)) identify three alternative means of controlling Lm: 
Alternative 1--use of a post-lethality treatment (e.g., steam 
pasteurization, hot water pasteurization, radiant heating, high 
pressure processing (HPP), ultraviolet treatment, infrared treatment, 
or drying) that reduces or eliminates populations of the organism and 
use of an antimicrobial agent (e.g., potassium lactate or sodium 
diacetate) or process (e.g., freezing) that suppresses or limits growth 
of the organism; Alternative 2--use of either a post-lethality 
treatment that reduces or eliminates Lm or an antimicrobial agent 
(Alternative 2a) or process that suppresses or limits growth of the 
organism (Alternative 2b); Alternative 3--use of only sanitation to 
control the organism. The regulations require an establishment that 
uses a post-lethality treatment for controlling Lm to validate the 
treatment's effectiveness and incorporate it in its HACCP plan. Under 
the regulations (9 CFR 430.4(b)(1)-(3)), an establishment that uses an 
antimicrobial agent (Alternative 2a) or process that suppresses or 
limits growth of Lm (Alternative 2b), or that uses only a sanitation 
program (Alternative 3) for controlling the pathogen must include food-
contact surface testing in its sanitation program.
    Under the regulations, an establishment that produces hotdog or 
deli-meat products considered to be at high risk for Lm contamination 
and that uses only sanitation to control the pathogen must, after two 
tests of food-contact surfaces that are positive for Lm or an indicator 
organism under the conditions described in the regulation, withhold 
affected product from commerce until the food-contact surface 
contamination problem is corrected. The establishment may release the 
held product only after statistically valid sampling shows the product 
not to be adulterated with Lm, or after the product has been reworked 
using a process that destroys Lm (9 CFR 430.4 (b)(3)(ii)).
    The regulations include requirements for proper documentation of an 
establishment's Listeria controls, the verification of those controls, 
and the availability of the documentation to FSIS personnel. In 
addition, the regulations require an establishment that produces post-
lethality-exposed RTE products to provide FSIS, at least annually, with 
estimates of annual production volume and related information on the 
types of products it processes under each of the Lm control 
alternatives (9 CFR 430.4(d)).
    FSIS decided to establish the regulatory requirements for 
preventing Lm contamination of RTE meat and poultry products based on 
two studies on the public health risk posed by the pathogen in RTE food 
products. The first study, an FSIS-Food and Drug Administration (FDA) 
risk ranking of RTE food products, placed hotdog and deli-meat products 
among products that pose the highest risk in terms of listeriosis cases 
per annum.\1\ The second study, a quantitative risk assessment by FSIS 
of Lm in deli meats, identified combinations of in-plant control 
measures that showed the greatest potential for reducing the public 
health risks posed by Lm.\2\ The second study enabled FSIS to determine 
that the first Lm control alternative identified in the interim final 
rule--post-lethality treatment plus growth limitation or suppression--
provided the greatest risk reduction potential, while the third 
alternative--sanitation only--provided the least.
---------------------------------------------------------------------------

    \1\ FDA/Center for Food Safety and Applied Nutrition; USDA/FSIS. 
September 2003. Quantitative Assessment of the Relative Risk to 
Public Health from Foodborne Listeria Monocytogenes among Selected 
Categories of Ready-to-Eat Foods. Washington, DC. http://www.fda.gov/downloads/Food/FoodScienceResearch/UCM197329.pdf.
    \2\ USDA/FSIS. May 2003. FSIS Risk Assessment for Listeria 
monocytogenes in Deli Meats. Washington, DC. http://www.fsis.usda.gov/OPPDE/rdad/FRPubs/97-013F/ListeriaReport.pdf.
---------------------------------------------------------------------------

    In the regulations, FSIS advised establishments that it would 
conduct more testing at establishments if their Lm control measures 
provide less potential risk reduction than other available control 
measures. Thus, the regulations provide that FSIS will conduct more 
testing at an establishment that chooses alternative 2 and uses a post-
lethality treatment of product than if it had chosen Alternative 1. 
Similarly, FSIS will conduct more testing at an establishment that 
chooses alternative 2 and uses an antimicrobial agent or process that 
suppresses or limits the growth of Lm than at an establishment that 
uses a post-lethality treatment (9 CFR 430.4(b)(2)(iv)). FSIS conducts 
more testing at an establishment that chooses Alternative 3 than at an 
establishment that has chosen Alternative 1 or 2 (9 CFR 
430.4(b)(3)(iii)).
    Finally, the regulations allow establishments that use post-
lethality treatments or antimicrobial agents or processes that are 
effective in destroying Lm or in limiting its growth to declare this 
fact on the labels of their products (9 CFR 430.4(e)). The purpose of 
the voluntary labeling is to inform consumers about measures that have 
been taken to ensure the safety of the products and thus to enable the 
consumers to select such products in preference to others.
    On October 6, 2003, the Agency supplemented the interim final rule 
with the ``FSIS Compliance Guideline: Controlling Listeria 
monocytogenes in Post-lethality Exposed Ready-to-Eat Meat and Poultry 
Products'' (the Compliance Guideline). The Agency also conducted a 
series of workshops on the interim final rule at several locations 
around the country during the pre-implementation period before October 
6, 2003, when the interim final rule became effective. On January 10, 
2014, FSIS made available an updated version of the Compliance 
Guideline is available on FSIS's Web site at http://www.fsis.usda.gov/wps/wcm/connect/d3373299-50e6-47d6-a577-e74a1e549fde/Controlling-Lm-RTE-Guideline.pdf?MOD=AJPERES.
    Based on available data, FSIS is confident that it is successfully 
carrying out its mission to protect public health by enforcing 
safeguards designed to control Lm. In the 10 years since FSIS issued 
the interim final rule described above, the percent positive in FSIS 
testing for Lm in RTE products has decreased from 0.76 percent in CY 
2003 to 0.34 percent in CY 2013. The Agency considers the RTE 
regulatory results to be an excellent indicator of the trends in 
pathogen presence in RTE products over several years. This downward 
trend shows that the interim final rule has been effective in 
controlling Lm in RTE meat and poultry products. Therefore, FSIS is 
affirming the interim rule as final with only the minor changes 
discussed below.

Opportunities To Comment

    Because some of the approaches to Lm control addressed in the 
interim final rule were novel, FSIS provided an 18-month comment period 
(69 FR 70051; December 2, 2004). FSIS also assembled a team of Agency 
experts to make a

[[Page 35180]]

preliminary assessment of the interim final rule. FSIS announced in the 
Federal Register (69 FR 70051; December 2, 2004) that the report 
``Assessing the Effectiveness of the Listeria Monocytogenes Interim 
Final Rule'' was available in the Agency's Docket Room and on line at 
http://www.fsis.usda.gov/wps/wcm/connect/4174b07e-8b39-4617-acdf-adc38a249cd7/LM_Assessment_Report_2004.pdf?MOD=AJPERES.
    In addition, FSIS asked the National Advisory Committee on Meat and 
Poultry Inspection (NACMPI) to review the interim final rule and the 
assessment team's report and to make its own recommendations (69 FR 
29124). NACMPI made recommendations on the assessment at its June 2-3, 
2004, meeting. The Agency responded to the recommendations at the 
NACMPI meeting held on November 16-17, 2004 (69 FR 64902). NACMPI 
recommended that the assessment team focus on the differences among 
small, very small, and large plants and assess the economic impact on 
very small and large plants. NACMPI also recommended that FSIS conduct 
focus groups to determine whether consumers are confused by the 
provisions for labeling statements explaining that product has 
undergone post-lethality treatments or has been treated with an 
antimicrobial. Finally, NACMPI recommended that FSIS determine whether 
the assumptions on product risk made in the FDA/USDA Quantitative Risk 
Assessment are accurate.
    FSIS agreed to consider variables such as product types and the 
frequency of production, which reflect differences among small, very 
small, and large plants. The Agency also agreed to review whether the 
rule has caused firms, particularly small firms, to go out of business. 
FSIS also continued to assess the effects of the informational labeling 
statements allowed under the rule. However, FSIS stated that the 
informational labeling provision should remain in the final version of 
the Lm rule as an encouragement to industry to declare that products 
have undergone post-lethality treatments or have been treated with 
anti-microbial agents or processes to destroy Lm. FSIS agreed to assess 
the three alternatives in the rule and evaluate their effectiveness for 
risk mitigation.
    NACMPI's recommendations and FSIS's responses can be viewed at 
http://www.fsis.usda.gov/wps/wcm/connect/d8be3905-5f3c-458d-a5e7-f5149457b20e/LM_Assessment_Response.pdf?MOD=AJPERES.
    Finally, FSIS received comments on the impact of the interim final 
rule on small businesses from the Office of Management and Budget (OMB) 
in response to OMB's 2004 Draft Report to Congress on the Costs and 
Benefits of Federal Regulation (69 FR 7987; February 20, 2004). The 
commenters stated that FSIS underestimated the costs and overestimated 
the benefits of the interim final rule. The commenters stated that the 
rule should be rescinded or amended to replace the regulatory 
requirements for small and very small processors with a pre-HACCP 
regulatory environment. In response, FSIS stated that the Agency would 
consider all comments and respond to them in a final rule.
    A summary of the comments and FSIS's response is reflected in the 
March 2005 OMB report ``Regulatory Reform in the U.S. Manufacturing 
Sector,'' which is available at http://www.whitehouse.gov/omb/inforeg_regpol_reports_congress.
    In developing this final rule, FSIS considered all comments 
received in response to the documents described above. Based on 
information provided by comments, FSIS's experience enforcing the 
interim final regulations, and analysis of available data, FSIS has 
decided to affirm the provisions in the interim final rule with two 
minor changes. The minor changes are explained below and are discussed 
in more detail in the Agency's responses to comments.

Summary of Amendments to the Interim Final Rule

    FSIS is clarifying that product that has tested positive for Lm or 
that has been in contact with an equipment surface that has tested 
positive for Lm is adulterated and may not be released into commerce. 
FSIS is also making explicit in 9 CFR 430.4(a), however, that the 
product may be reprocessed using a method that destroys Lm.
    9 CFR 430.4(a) clearly states that ``RTE product is adulterated if 
it contains L. monocytogenes or if it comes into direct contact with a 
food contact surface which is contaminated with L. monocytogenes.'' 
However, the wording of paragraphs 9 CFR 430.4(b)(2)(iii)(B), 
(b)(3)(i)(B), and (b)(3)(ii)(B) and (C) has led some establishments to 
question whether they may perform further confirmation testing after a 
finding of Lm in RTE product and then release the product into 
commerce. Therefore, FSIS removed from paragraphs 9 CFR 
430.4(b)(2)(iii)(B), (b)(3)(i)(B), and (b)(3)(ii)(B) provisions 
concerning additional establishment testing in response to Lm results. 
As revised, the regulations will refer only to additional establishment 
testing in response to positive indicator organism results. In addition 
in paragraph 9 CFR 430.4(b)(3)(ii)(C), FSIS has removed provisions that 
may suggest that establishments may ``be able to release into commerce 
the lots of product that may have become contaminated with L. 
monocotogenes'' because, as is stated in 9 CFR 430.4(a), such product 
is adulterated and cannot be released into commerce.
    FSIS is also removing the requirement that establishments report 
production volume and related information to FSIS because the Agency 
now collects this information through PHIS.
    In accordance with section 553 of the Administrative Procedure Act 
(5 U.S.C. 553), the Agency finds good cause for making these changes 
effective September 17, 2015. This rule provides minor conforming 
amendments to FSIS's regulations and imposes no new or substantive 
requirements on the public. For these reasons, FSIS has determined that 
notice and opportunity for public comment on these changes are 
unnecessary. However, FSIS is providing the public with an opportunity 
to comment on these minor, conforming changes.

Comments and Responses

    FSIS received comments from five trade associations that represent 
meat and poultry processors, two consumer organizations, an association 
that represents small businesses, an association that represents 
manufacturers, an organization that represents scientists, a very small 
establishment, and an individual consumer on the interim final and on 
the other opportunities for comment described above. Following are 
FSIS's responses to the issues that they raised.

Applicability of Rule; Exemption of Certain Products

    Comment: Several commenters stated that certain classes of products 
should be exempt from the rule. For example, these commenters stated 
that products that are exposed to the environment but that receive a 
validated, post-packaging lethality, such as products that are cooked, 
repackaged, and then irradiated, thermally processed, or high-pressure 
processed in their final package, should be exempt from the 
requirements in the rule. These commenters stated that the fact that 
there was product exposure to the post-lethality processing environment 
during the repackaging operation that followed the initial cook should 
not subject such a product to the Lm control rule. In addition, the

[[Page 35181]]

commenters stated that, products that remain at a temperature lethal to 
Lm until the products are filled into the final packaging should be 
exempt.
    Response: An establishment that produces post-lethality exposed RTE 
products is appropriately required to control Lm through HACCP or a 
sanitation program because an RTE product that is not free of 
pathogens, including Lm, can easily cause illness because it will not 
be subject to a lethality step before consumption. Therefore, FSIS is 
not exempting such post-lethality-treated products from the 
requirements in this rule.
    Post-lethality exposed product may be at risk of contamination and 
thus needs to be subject to the requirements in this rule. However, a 
product that is not post-lethality exposed (not removed from the 
container in which it is processed) is not subject to the requirements 
in this rule.
    Regarding HPP of RTE product, in most cases that FSIS is aware of, 
HPP is applied to an RTE product that was previously subject to a 
lethality treatment, such as cooking, and then was exposed to the 
environment before being packaged. Thus, HPP is considered a post-
lethality treatment that is subject to the Alternative 1 or Alternative 
2 requirements of 9 CFR 430.4.
    There may be cases in which a treatment is applied to a post-
lethality exposed RTE product in such a manner that the product could 
no longer be regarded as post-lethality exposed and thus would be 
exempt from the interim final rule. For example, if HPP is validated to 
achieve at least a 5-log reduction of Lm and other pathogens of concern 
(e.g., Escherichia coli O157:H7 and Salmonella) for cooked uncured meat 
patties or at least a 7-log reduction in cooked chicken strips, the 
process would be considered to achieve full lethality, and the product 
would not be considered to be post-lethality exposed (see 9 CFR 
318.23).
    FSIS has explained in its Compliance Guideline (http://www.fsis.usda.gov/wps/wcm/connect/d3373299-50e6-47d6-a577-e74a1e549fde/Controlling-Lm-RTE-Guideline.pdf?MOD=AJPERES) that it considers certain 
RTE products as not post-lethality exposed; that is, they are not 
exposed to the environment after the lethality treatment and before 
packaging. They include fully cooked ``cook-in-bag'' product that is 
shipped from the establishment in an intact cooking bag, thermally 
processed commercially sterile products, and products that receive a 
lethality treatment and are hot-filled at the lethality temperature.
    A product that has undergone a lethality treatment and is hot-
filled into packaging may be considered to be an RTE product that has 
not been post-lethality exposed if the temperature lethal to pathogens 
and the sanitary handling of the product are continuously maintained to 
the point where the product is packaged. In this situation, the 
establishment needs to have documentation on file showing that the 
lethality temperature and sanitary handling are maintained continuously 
from the point of lethality to the point of packaging.
    Comment: A few commenters objected to the assessment team's 
statement that Lm is reasonably likely to occur in the production of 
RTE meat and poultry products. The commenters argued that the 
assessment team ignored the value of post-lethality treatments.
    Response: In the assessment report, the assessment team was 
expressing a view that Lm is reasonably likely to occur in the absence 
of controls to eliminate or reduce it. Many in industry, Government, 
and academe share the view that Lm is ubiquitous in the RTE processing 
environment, and that a prudent establishment would maintain controls 
in its production process to prevent the contamination of its food 
products. Establishments use post-lethality treatments because the 
pathogen is reasonably likely to occur in the product in the absence of 
the treatment. For this reason, the regulations require that an 
establishment that uses a post-lethality treatment include the 
treatment in its HACCP plan or Sanitation SOP or other prerequisite 
program (9 CFR 430.4(b)(1)(i)).
    Comment: A few commenters suggested that the statements in the 
questions and answers accompanying FSIS Form 10,240-1 should be 
reflected in the final rule. According to one such statement on the 
questions and answers accompanying FSIS Form 10,240-1, products 
intended for further processing and labeled for further processing are 
not subject to the rule. According to another, products that otherwise 
would be considered RTE, but that are shipped to another establishment 
for use in a non-RTE product (e.g. frozen entr[eacute]e), should not be 
subject to the rule.
    Response: FSIS has addressed these issues in the Compliance 
Guideline. A product that is intended for further processing at another 
FSIS inspected establishment and that is labeled ``for further 
processing'' is not considered RTE and, therefore, is not covered by 
the rule. However, products that are commonly understood to be RTE, 
such as cooked sausages subject to the standard of identity in 9 CFR 
319.180, are commonly understood to be RTE and cannot be labeled for 
``further processing'' as a non-RTE product. In addition, a product 
that otherwise would be considered RTE, but that is shipped to another 
FSIS inspected establishment for use in a non-RTE product, is not 
considered RTE and therefore, is not covered by the rule.
    It should be noted that FSIS Form 10,240-1 was discontinued on 
September 30, 2011. As mentioned above, FSIS continues to collect the 
same information through PHIS.
    Comment: One commenter asked FSIS to explain the criteria for 
determining when antimicrobial processes also act as post-lethality 
treatments. In particular, the commenter wanted FSIS to explain why 
products with a water activity (aw) of less than 0.85 rather 
than of 0.92 or less will not support Lm growth.
    Response: FSIS has addressed this issue in the Compliance 
Guideline. Low water activity limits the amount of water available to 
pathogens such as Lm and will not allow them to grow. An aw 
less than or equal to 0.92 will not support the growth of Lm, and an 
aw of 0.85 or less (the aw for achieving shelf 
stability) can sometimes even reduce Lm numbers. FSIS will consider an 
aw of <=0.85 at the time the product is packed to be a post-
lethality treatment and to be an antimicrobial treatment if the 
establishment provides supporting documentation that Lm is reduced by 
at least 1-log before the product leaves the establishment, and that no 
more than 2-logs of growth of Lm occurs over the shelf life of the 
product.
    Comment: One commenter asked FSIS to clarify for establishments the 
distinction between RTE and not-RTE products. The commenter stated that 
documentation for making the determination is not available for a 
number of products.
    Response: In Attachment 1.2 of the Compliance Guideline, FSIS 
provides a chart that distinguishes three types of products, two not-
RTE and one RTE. One type of not-RTE product is a product that contains 
a meat or poultry product ingredient that has not received a full 
lethality treatment sufficient to destroy pathogens (e.g., raw 
products, partially cooked products, or products that are irradiated or 
HPP-treated and do not achieve at least a 5-log reduction of Lm and 
other pathogens of concern). This type of not-RTE product could also be 
a product that has received an adequate lethality for Salmonella but is 
not defined by a standard of identity or bear a common or usual name 
that consumers understand to refer to RTE product. The product also 
does not meet

[[Page 35182]]

the definition of RTE in 9 CFR 430.1 (e.g., not-RTE ham). The other 
type of not-RTE product is a product that contains a meat or poultry 
component that has received a full lethality treatment for pathogens 
and that also contains non-meat or non-poultry components to which the 
intended user must apply a lethality treatment (e.g., a meal, dinner, 
or frozen entr[eacute]e). An RTE product, on the other hand, may be a 
heat-treated or not-heat-treated shelf-stable product, a fully cooked, 
not-shelf-stable product (e.g., hotdogs), or a not-shelf-stable product 
containing secondary inhibitors (e.g., RTE sausage). The chart in the 
Compliance Guideline lists HACCP process categories for each product 
type, the applicability of safe handling labeling, and significant 
matters that the HACCP plan should address for the product and process.

Listeria Control Alternative Requirements

    Comment: A few commenters recommended that the determination of 
which Lm control alternative is being used at a given establishment 
should take into account documented processes applied at the 
establishment to which its RTE product is shipped. For example, the 
commenters stated that if an Alternative-3 product is shipped to an 
establishment where it is subject to an Alternative 2-type of process, 
then FSIS should consider the product as an Alternative 2 product.
    Response: The Compliance Guideline discusses situations in which an 
establishment implementing one type of Lm control to prevent 
contamination of its post-lethality exposed product ships the product 
to another establishment that applies the same or another type of Lm 
control. The determination of which Lm control Alternative requirements 
apply to the product would depend on the extent of documentation and 
documentation-sharing by each establishment, as well as on the product 
distribution controls actually applied by the establishments. If an 
Alternative-3 product is shipped to an establishment where it is 
subject to an Alternative 2-type of process, and this process is 
properly documented in the first establishment's HACCP system, FSIS 
would consider the product as an Alternative 2-type of product.

Verification Sampling and Testing

    Comment: One commenter agreed with FSIS's recommendation that 
establishments hold all product tested by establishments until test 
results are known but urged FSIS to say more about when and how tests 
should be conducted (e.g., before or during production). The commenter 
stated that FSIS needs to provide specific details and flow diagrams, 
with examples. FSIS also should provide a hold-and-test scenario flow 
chart.
    Response: The Compliance Guideline includes recommendations on 
verification testing, methods to be used, recommended sampling plans, 
and a hold-and-test scenario flow chart. The Compliance Guideline also 
includes examples of verification sampling programs for the product 
classes that are subject to the interim final rule.
    Establishments are required to hold or maintain control of RTE 
products that FSIS has tested for Lm and other pathogens, and RTE 
products that have passed over food-contact surfaces that FSIS has 
tested for Lm and other pathogens. In addition, establishments in 
Alternative 3 (who only use sanitation controls) are required to hold 
product after a second consecutive food-contact surface positive for Lm 
or an indicator organism until the establishment corrects the problem 
indicated by the test result (9 CFR 430.4(b)(3)(ii)(B)).
    Establishments in Alternative 3 must sample and test the lots of 
product using a method that will provide a level of statistical 
confidence that the product is not adulterated (9 CFR 
430.4(b)(3)(ii)(C)). FSIS recommends that establishments use the 
International Commission on Microbiological Specifications for Foods 
(ICMSF) Tables. The ICMSF Tables provide examples of statistically-
based sampling plans that are commonly used for demonstrating lot 
acceptance. The ICMSF Tables are included in the Compliance Guideline. 
FSIS also recommends that establishments collect samples at least three 
hours after the start of operations, if possible, to allow Lm to work 
its way out to the surface of the equipment. If establishments 
typically produce RTE product for less than three hours, then the 
samples can be collected less than three hours after the start of 
operations.
    FSIS recommends that establishments in Alternatives 1 and 2a hold 
and test product after multiple contact surface positives for an 
indicator organism. The finding of three consecutive positive food 
contact surface samples increases the risk that the product is 
contaminated with Lm. If the establishment does not hold and test the 
product after the third positive, it should provide other support 
demonstrating that the product is not likely to be contaminated. The 
establishment should take preventative steps such as: increase its 
routine sampling for Lm; collect intensified samples to find sources of 
harborage and cross contamination; reassess its Sanitation SOPs to 
determine whether sanitation issues could be leading to positive 
results; assess the effectiveness of its post-lethality treatment or 
antimicrobial agents and processes; or reassess its HACCP plan to 
determine whether the actions it is taking are effective in controlling 
Lm.
    Comment: One commenter stated that FSIS verification sampling 
should be conducted after the use of Lm control techniques (such as 
Alternative 3 controls) that are more economically feasible than post-
lethality treatments and the use of growth inhibitors. The commenter 
stated that FSIS should conduct risk-based inspection and data 
collection on risk factors in the establishment and should use sound 
statistical techniques in environmental sampling. The commenter also 
stated that intensified verification testing (IVT) is a return to the 
command-and-control mode of inspection that FSIS should avoid. (An IVT 
is an FSIS sample collection activity that the Agency may conduct when, 
in either FSIS or establishment testing, a surface that comes into 
contact with post-lethality exposed RTE product tests positive for a 
pathogen of public health concern. IVTs are performed with a ``for 
cause'' Food Safety Assessment (FSA) to provide an in-depth evaluation 
of food safety systems at the establishment. The FSA may find the 
vulnerability or the noncompliance that led to the positive result.)
    Response: The regulations in 9 CFR part 430 state that products and 
the processing environment under Alternative 3 are likely to be subject 
to more frequent verification testing by FSIS than products and the 
processing environment under Alternative 1 or 2. In fact, Alternative 3 
products are sampled at a higher rate in the FSIS risk-based sampling 
code RTEPROD_RISK (9 CFR 430.4(b)(2)(iv) and (b)(3)(iii)).
    FSIS agrees that inspection should be risk-based. To that end, FSIS 
has developed risk-based verification sampling that focuses the 
Agency's testing on those products or environments in a process where a 
problem is most likely to occur. As of August 1, 2013, FSIS combined 
its random ALLRTE and risk-based RTE001 product sampling projects into 
a single project called RTEPROD. The RTEPROD sampling project uses two 
project codes: RTEPROD_RAND for product samples selected randomly, and 
RTEPROD_RISK for post-lethality-exposed product samples selected based 
on risk. Under the RTEPROD_RISK project code,

[[Page 35183]]

establishments are identified for sampling based on a risk-ranking 
algorithm, which takes into account the control alternative, the 
production volume, the type of product produced, and the 
establishment's sampling history.
    FSIS also uses the Routine Lm Risk-based (RLm) sampling project. 
While RTEPROD involves sampling and testing of the RTE meat and poultry 
products themselves, the RLm program includes sampling and testing of 
products, product contact surfaces, and environmental surfaces. Thus, 
RLm provides a means of identifying establishments that present a 
higher risk of Lm contamination in the food processing environment 
before product contamination actually occurs.
    A routine FSA is conducted at the establishment in conjunction with 
RLm sampling and testing. Under RLm, samples are scheduled using a FSA 
prioritization model, which takes into account levels of inspection, 
control alternative, and type of product produced. Starting in August 
2009, RLm sampling was increased so that establishments that produce 
post-lethality exposed RTE product are sampled at least once every four 
years under this project.
    FSIS also agrees that, to be successful, risk-based verification 
must be carried out on the basis of solid information. The IVT activity 
can be a valuable source of information for both the Agency and the 
inspected establishment when potentially serious problems are found in 
an establishment's food safety system. The results of an IVT can be 
used to help the Agency focus its inspection resources where they are 
most needed and can help the establishment plan improvements in its 
food safety system. In this regard, the IVT does not constitute a 
return to a command-and-control system of inspection in which FSIS told 
the establishment explicitly what it had to do to produce a safe 
product. Rather, the IVT provides the information on which an 
establishment may base its own decisions on the most effective control 
measures to take.
    Comment: While conceding that IVT may be appropriate in some 
circumstances, such as multiple Lm positives on product or food-contact 
surfaces, a few commenters strongly opposed the assessment team's 
recommendation that an IVT be performed for multiple contact or product 
positives for Listeria spp. or Listeria-like organisms. The commenters 
also urged the Agency not to penalize establishments for trying to 
actively detect and eliminate potential harborage areas but to verify 
that appropriate corrective actions have been taken. The commenters 
also questioned whether the Agency would have the resources necessary 
to conduct IVT each time an establishment surpasses arbitrary yearly 
limits, as recommended by the Agency's assessment team.
    Response: The FSIS assessment team addressed the actions that the 
Agency should take with regard to Lm-positive results from tests 
performed on official samples. It should be understood that every 
inspected establishment is required by regulation to operate under a 
HACCP plan and to take corrective actions whenever there is a deviation 
from critical limits for the CCPs identified in the plan. FSIS 
personnel are trained to take enforcement action only if there has been 
a violation of the regulations. If an establishment has found a 
deviation through its normal HACCP monitoring and verification 
activities and takes some corrective action based on its findings, the 
Agency has no regulatory grounds for taking enforcement action because 
of the deviation.
    However, if the Agency has verification testing results or other 
information that an establishment may have shipped adulterated product, 
an IVT is one of a number of appropriate actions, including an 
enforcement action, that the Agency may take in the interest of 
protecting the public health. Repeated findings of Listeria spp. or Lm 
on food-contact surfaces or on product may lead to an enforcement 
action if FSIS determines that the establishment is not properly 
addressing insanitary conditions.
    Comment: One commenter stated that the FSIS sampling program should 
be modified to provide baseline surveillance information to permit 
progress to be gauged. The comment said that verification sampling 
should target the riskiest products, and that there should be a 
properly designed and conducted annual survey of RTE establishments.
    On the results that were available in 2004, when the FSIS 
assessment team prepared its report, the commenter questioned why FSIS 
had found no difference among the prevalence levels of Lm in randomly 
sampled RTE foods (3 of 345 or 0.9%) and in RTE foods for which 
sampling was targeted (11 of 1,349 or 0.8%). (The results are presented 
in the ``Agency Accomplishments'' section of the assessment team's 
report.) The commenter recommended the reevaluation of establishment 
HACCP plans and Sanitation SOPs and other prerequisite programs in the 
event of an FSIS positive Lm sample in a product that supports the 
growth of the organism. The commenter said that uniform criteria for 
such reevaluation should be developed.
    Response: FSIS's verification sampling and testing program for Lm 
is designed to focus Agency resources on those products and processes 
that may pose higher risks of adulteration.
    Regarding the apparent similarity in Lm prevalence among RTE 
products that were sampled randomly and RTE products that were sampled 
according to risk, the Agency found that, when both ALLRTE and RTE001 
samples were scheduled in one month, often only the RTE001 products 
were collected. In addition, FSIS found that the highest-risk products 
produced by the establishment were often collected for the ALLRTE 
project, rather than products collected at random. FSIS determined that 
combining the ALLRTE and RTE001 sampling projects into the new RTEPROD 
project would reduce redundancy in sample scheduling and make the 
sample selection process more efficient. Under RTEPROD, the sampling 
project codes specify more clearly whether FSIS personnel should select 
samples randomly (RTEPROD_RAND) or based on risk (RTEPROD_RISK). In 
addition, FSIS personnel receive either a RTEPROD_RAND or a 
RTEPROD_RISK sampling request at most once per month per establishment 
(see FSIS Directive 10340.4, Verification Activities for the Listeria 
monocytogenes Regulations and the Ready-to-Eat (RTE) Sampling Program). 
FSIS personnel are not requested to collect both RTEPROD_RAND and 
RTEPROD_RISK samples in one month to avoid overlap and to increase 
sampling efficiency.
    Regarding the suggestion that establishment HACCP plans and 
prerequisite programs be reevaluated in the event of an Lm-positive 
product test, such a reevaluation may be necessary depending on the 
circumstances of the positive test. If an establishment made such a 
finding in the course of testing that was part of its HACCP 
verification procedures, the establishment would follow the corrective 
actions procedures in its HACCP plan. If the establishment determined 
that a change affecting the validity of the hazard analysis had 
occurred, the establishment would reassess its HACCP plan. On the other 
hand, an Lm-positive test on an official FSIS RTE product sample might 
indicate that the establishment's HACCP system had failed to prevent 
the production of adulterated food. In that case, under the HACCP 
regulations, FSIS would have grounds for finding the establishment's 
HACCP system to be

[[Page 35184]]

inadequate. In addition, if the establishment failed to take 
appropriate corrective action, as required by 9 CFR 417.3, FSIS would 
have further grounds for finding the establishment's HACCP system to be 
inadequate.
    In the Compliance Guideline, FSIS has listed and explained the 
elements of adequate validation for post-lethality treatments and 
growth-suppressing or limiting formulations or processes.
    Comment: One commenter noted that the rule did not have a uniform 
recordkeeping requirement for the results of environmental sampling. 
Sanitation SOP records are required to be kept for only six months, 
HACCP records from one to two years. The commenter requested that FSIS 
explain that an effective environmental sampling program must provide 
for long-term trend analysis.
    Response: Records that are generated under the Lm control 
regulations may be Sanitation SOP records, HACCP records, or other 
prerequisite program documentation and records. As the commenter points 
out, retention requirements apply to Sanitation SOP records and HACCP 
records. Prerequisite program documentation and records of activities 
conducted under the Lm control regulations affect hazard analysis 
decisions and are required to be maintained for at least two years 
under 9 CFR 417.5 because they are documents used to inform decisions 
in the establishment's hazard analysis.
    FSIS agrees that it is important that an establishment analyze 
trends in product, food-contact surface, and environmental test 
results. In the Compliance Guideline, FSIS advises establishments to 
keep monitoring records, including test results, for use in evaluating 
their Sanitation SOPs. The monitoring records should be designed to 
show trends in the development of insanitary conditions. Establishments 
should review at least the previous month's testing results to 
determine whether a trend is emerging, or whether it is necessary to 
revise their sampling plans. Persistent problems may indicate the 
pathogen's presence in niches in the processing environment. FSIS also 
advises establishments to adjust their testing frequencies on the basis 
of data that they have collected over time. FSIS is not, however, 
proposing to change its record retention requirements because the 
Agency believes that the requirements are adequate.
    Comment: One commenter stated that while the interim final rule 
required establishments to verify the effectiveness of their Listeria 
control program through testing, they have no obligation to conduct 
such testing at any particular frequency, even if they produce high-
risk products such as deli meats and hot dogs. The commenter argued 
that, without mandatory minimum testing frequencies, establishments 
simply cannot be assured that their controls are working effectively 
every day to control Listeria.
    Response: After reviewing comments on the 2001 proposed rule (66 FR 
12589) and the results of the FDA/FSIS risk ranking and the FSIS risk 
assessment, FSIS concluded that a mandatory testing frequency was not 
well-founded. The FDA/FSIS risk ranking and FSIS risk assessment showed 
that post-lethality interventions and formulation of RTE meat and 
poultry products with growth inhibitors was much more effective in 
preventing listeriosis than testing product or food contact surfaces. 
Therefore, FSIS is not making changes to the regulations to require a 
minimum testing frequency for establishments.
    Nevertheless, the Agency regards establishment verification testing 
of the processing environment and especially of food-contact surfaces 
to be important in monitoring the sanitary conditions under which post-
lethality exposed RTE products are processed. Establishments that 
produce RTE products and that rely on sanitation procedures alone to 
control Lm (Alternative 3) should carry out effective verification 
procedures, including food-contact surface testing, to ensure that 
their controls are effective, and that the products are not 
contaminated. Such is the Agency's regard for the value of food-contact 
surface testing that the Agency has incorporated food-contact surface 
testing into its RLm sampling program that it is carrying out in RTE 
establishments.
    Comment: One commenter stated that, even though the rule required 
establishments to make their own testing results available to FSIS 
inspection personnel upon request, nothing in the interim final rule 
imposed on establishments an affirmative obligation to disclose test 
results, particularly positive results, to FSIS at the time the results 
are obtained. The commenter argued that, without immediate access to 
these data when a problem is first identified, inspection personnel may 
be unaware that there is a sanitation problem at a facility, that 
interventions are not working properly, or that those problems may be 
persistent and uncorrected.
    Response: As the comment acknowledges, when FSIS personnel request 
testing records, the establishment is required to make them available 
(9 CFR 430.4(e)) so that FSIS personnel can complete the required 
verifications. From the verification results FSIS can know whether 
there is a sanitation problem at the establishment, whether 
antimicrobial interventions are working properly, whether a corrective 
action was appropriately taken to address a non-recurring problem, or 
whether there is mounting evidence of a persistent problem that must be 
corrected.
    Changing the regulations to require immediate notification of FSIS 
when a positive test is obtained would not affect what either the 
establishment or FSIS is required to do with respect to product safety 
in response to the positive test result. Therefore, FSIS is not 
proposing to change the regulations in this respect.

Compliance Guidance

    Comment: A few commenters stated that the Agency should 
periodically update the Compliance Guideline. Also, commenters stated 
that the Agency should make available to the industry guidance on 
acceptable procedures for evaluating the effectiveness of new post-
lethality treatments and antimicrobial agents or processes.
    Response: FSIS has updated the Compliance Guideline four times 
since the interim final rule published. The first update in October 
2004 responded to comments and questions that FSIS received about the 
rule and addressed questions that participants asked during the 
workshops that the Agency held in preparation for the implementation of 
the interim final rule. The second update in May 2006 included new 
information on FSIS's risk-based sampling algorithm and acceptable 
procedures for evaluating the effectiveness of new post-lethality 
treatments and antimicrobial agents or processes. The third update in 
September 2012 provided updated technical information on the control 
alternatives and on how establishments could take corrective actions in 
response to positive results and new information on developing a 
listeria control program. The fourth update in January 2014 responded 
to comments and questions that FSIS received in response to the 
previous version. FSIS will continue to update the Compliance Guideline 
as necessary.

Labeling; Consumer Education

    Comment: One commenter stated that the labeling claims about 
treatments that eliminate, suppress, or limit the growth of Lm could be 
misleading. The commenter argued that allowing companies to provide 
information about

[[Page 35185]]

technologies, without also including safe handling instructions, may 
create further potential to mislead consumers, including susceptible 
groups, into a false sense of safety and lead to improper handling.
    Response: Safe handling instructions are required if the meat or 
poultry component of a product is raw or partially cooked (i.e., not 
considered RTE), and if the product is destined for household consumers 
or institutional users (9 CFR 317.2(1) or 381.125(b)). All food 
products, including shelf-stable RTE products, must be handled with 
appropriate care to prevent product adulteration. Findings of a survey 
conducted by the International Food Information Council (IFIC), which 
is described in more detail in the response to the next comment, do 
indicate that label statements about processing for improved product 
safety may cause some consumers to feel safe about eating product after 
a ``use-by'' date. This could be a concern if the ``use-by'' date were 
a safety-based date.
    FSIS believes, nevertheless, that the processed-for-safety 
statements can be made if they are adequately supported. Also, as the 
Agency's own assessment team has recommended, the Agency should give 
industry flexibility to develop labeling statements that are truthful 
and not misleading. FSIS will review and approve labels that bear such 
statements before they are used, as it approves all labels that make 
special claims. The Agency also will ensure that its food safety 
education materials for consumers include information about the labels 
and about Lm.
    Comment: IFIC submitted the results of a study that it conducted in 
collaboration with FSIS. In the study, IFIC tested several different 
informational statements to determine the impact such labeling has on 
consumer perceptions of food safety. The IFIC survey found that, while 
food-safety information can assist consumers in the purchase, 
preparation, and handling of foods, the food-safety labeling messages 
that were tested may not achieve this goal. None of the statements 
tested performed better than control product labeling. Only a very 
small segment of the population of consumers in the study felt that 
enhanced food safety was an important reason to purchase a product. 
Most statements did not enhance consumer perceptions of food safety, 
although the statements were likely to make consumers feel safe eating 
product after the ``use by'' date. Also, the results appeared to 
indicate that use of labels with certain food safety information may 
actually drive some consumers away from the product category.
    Response: FSIS understands the challenge of providing consumers 
with useful and important food safety information on product labels. 
That is why the Agency is not requiring labeling statements about Lm 
controls but only permitting and encouraging their use.

Retail

    Comment: A few commenters stated that FSIS should conduct research 
to determine the magnitude of retail-level contamination. A few 
commenters agreed with the assessment team finding that efforts to 
control Lm contamination at retail are warranted. The commenters stated 
that, in addition to training, there must be measurement, monitoring, 
and enforcement of best practices at retail. The commenters agreed with 
the assessment team's finding that regulatory strategies aimed at FSIS-
inspected establishments may not be effective in reducing retail-level 
contamination. Another commenter strongly agreed with the assessment 
team's recommendation to educate and train retail and food service 
personnel but noted that this matter is usually outside USDA/FSIS 
jurisdiction.
    One commenter stated that additional training for retail staff is 
appropriate for reducing Lm contamination of RTE products at that 
level. The commenter also recommended the use of antimicrobial agents 
in products sold at retail. The commenter recommended that FSIS 
investigate the practicality of freezing or other practices during 
transport of RTE products. In addition, the commenter stated that the 
FSIS Lm control strategy should focus on preventing cross-contamination 
at the deli counter.
    Response: State and local governments have chief responsibility for 
the administration of inspections and regulation of retail facilities 
on a regular basis. Although FSIS does not inspect retail 
establishments, it may visit them to ensure that the meat, poultry, and 
egg products that they sell remain safe for human consumption and are 
not adulterated or misbranded.
    FSIS provides information, materials, and assistance to help State 
and local agencies to achieve food safety goals and conducts outreach 
programs that are aimed at retail and food service personnel. FSIS also 
participates with FDA in the development of the Food Code model 
ordinance. The Food Code sets forth model standards that State and 
local public health authorities may adopt in their own regulatory 
programs for the retail sector.
    To help minimize the public health burden of listeriosis, FSIS and 
the FDA conducted an interagency risk assessment to better understand 
the risk of foodborne illness associated with eating certain RTE foods 
prepared in retail delis and developed recommendations for changes in 
current practices that may improve the safety of those products. In 
2013, FSIS and FDA made their findings available to the public in the 
``Interagency Risk Assessment--Listeria monocytogenes in Retail 
Delicatessens'' (Interagency Retail Lm Risk Assessment), which is 
available on FSIS's Web site at http://www.fsis.usda.gov/wps/portal/fsis/topics/science/risk-assessments.
    The agencies conducted the risk assessment to better understand how 
retail practices (e.g., temperature control, sanitation, worker 
behavior) influence the risk of listeriosis associated with eating 
meat, cheeses, and salads sliced or prepared in retail delicatessens. 
The risk assessment also examines how effective various interventions 
are in limiting the survival, growth, or cross contamination of Lm.
    The risk assessment is based on observations of deli employees' 
work routines; concentrations of Lm on incoming products and in the 
deli environment; studies on the ability of Lm to spread in retail 
delis, such as from a slicer to food; and an existing dose-response 
model. The study was designed to apply to a range of deli 
establishments, from small independent operations to the deli 
departments in large supermarkets.
    FSIS agrees that care should be taken in storage, handling, and 
distribution of RTE meat and poultry products, and that strict 
temperature controls are important in preventing the outgrowth of any 
Lm that may be present in products. Using the key findings of the 
Interagency Retail Lm Risk Assessment along with available scientific 
knowledge, the FDA Food Code, and lessons learned from controlling Lm 
in FSIS-inspected meat and poultry processing establishments, FSIS 
developed the ``FSIS Best Practices Guidance for Controlling Listeria 
monocytogenes (Lm) in Retail Delicatessens,'' which provides practical 
recommendations that retailers can use to control Lm contamination and 
outgrowth in the deli. The best-practices guidance is available at 
http://www.fsis.usda.gov/wps/wcm/connect/29d51258-0651-469b-99b8-e986baee8a54/Controlling-LM-Delicatessens.pdf?MOD=AJPERES. FSIS 
encourages retailers to use the best-practices guidance to help ensure 
that

[[Page 35186]]

RTE meat and poultry products in the deli area are handled under 
sanitary conditions and are not adulterated.

Risk Assessment

    Comment: One commenter noted that the draft of the second risk 
assessment, initiated in early 2001, was not completed until February 
2003--two years after publication of the proposed rule, which addressed 
control of Lm. The commenter stated that the Agency limited the new 
assessment to deli meats only (ignoring hot dogs and other high-risk 
meat and poultry products) and did not include sampling of non-food 
contact surfaces in the risk model. The commenter also stated that the 
risk assessment excluded consideration of whether the risk would be 
reduced if, in addition to other steps, final product testing was 
required. The final version of FSIS's risk assessment,\3\ released in 
May 2003, found that the minimal testing frequency in the proposed 
Listeria rule would result in a small reduction in Listeria levels, and 
that a combination of interventions (sanitation and testing of food-
contact surfaces, lethality interventions, and growth inhibitors) 
appeared to be more effective than any single intervention.
---------------------------------------------------------------------------

    \3\ FSIS, FSIS Risk Assessment for Listeria Monocytogenes in 
Deli Meats (May 2003) available at http://www.fsis.usda.gov/OPPDE/rdad/FRPubs/97-013F/ListeriaReport.pdf. A final version of the Joint 
FDA/FSIS risk assessment was released in September 2003. It included 
a number of revisions to and refinements of the draft assessment, 
but still classified both deli meats and unheated frankfurters as 
``Very High Risk.'' See FSIS/FDA, Quantitative Assessment of the 
Relative Risk to Public Health from Foodborne Listeria Monocytogenes 
Among Selected Categories of Ready-to-Eat Foods (Sept. 2003) 
available at http://www.fda.gov/downloads/Food/FoodScienceResearch/UCM197330.pdf.
---------------------------------------------------------------------------

    Response: The focus of the risk assessment was narrowed on the 
basis of available data. The available data on hotdogs was not 
sufficient to be included in a plant-to-table risk assessment. 
Moreover, deli meat was believed to be the vehicle in most listeriosis 
cases. From the 2003 FDA-FSIS Quantitative Assessment of the Risk of 
Listeriosis due to Selected Food Categories (FDA, 2003), the median 
number of cases of listeriosis per annum from deli meats was estimated 
to be 1598.7. For frankfurters (reheated and not reheated combined) the 
number of cases was estimated to be less than 31. For p[acirc]t[eacute] 
and meat spreads, the estimated number of illnesses was less than 4, 
and for dry/semi-dry fermented sausages, the estimated number of 
illness was less than 0.1. Clearly, this document pointed to deli meats 
as the high-risk food category in 2003.
    While FSIS is aware of the limitations of its model, the Agency has 
concluded that the model is adequate to inform decision-making based on 
the specific risk management questions posed by FSIS risk managers. A 
more detailed model would require additional data. The Agency noted in 
the final version of the risk assessment that the data available in the 
published literature on Listeria in the processing plant environment 
are limited. In addition to data limitations, the limited time 
available and the intended use of the model dictated other restrictions 
on the scope of the assessment. While the risk model addressed only 
food-contact surfaces as the source of contamination by Lm, the 
Agency's risk assessors acknowledged that Lm contamination could arise 
from inadequate lethality treatment or from cross-contamination from 
non-food contact surfaces. The risk assessment also made simplifying 
technical assumptions, such as those regarding a generic food-contact 
surface, the distribution of Listeria on the surface, and the 
assumption of a generic product lot.
    The comment that the model excluded the effect of product testing, 
however, is not accurate. The in-plant model incorporated, in addition 
to food-contact surface testing, product testing and pre- and post-
packaging interventions and the effect of growth inhibitors (or product 
reformulation). The risk assessment describes the role of product 
testing in the model and discusses the probability of detecting Lm in 
product samples and the contribution of information from such testing 
to the development of risk reduction measures.
    FSIS is affirming the 2003 risk assessment without updates or 
changes.

Economic Impact; Effect on Small Establishments; Regulatory Reform

    Comment: One commenter disagreed with the assessment team's finding 
that the interim final rule was not disproportionately affecting small 
establishments because the number of noncompliance records (NRs) that 
FSIS issued related to this rule to very small plants was twice that 
for large plants. Similarly, the commenter stated that FSIS issued more 
NRs to small plants than large. Another commenter stated that the 
assessment team's finding that FSIS issued most NRs to very small 
establishments evidences the need for a much stronger effort at 
compliance assistance to the small processor.
    A few comments that were submitted in response to OMB's February 
2004 solicitation of nominations for regulatory reform (69 FR 7987) 
argued that the Agency greatly underestimated the costs and 
overestimated the benefits of the interim final rule.
    One commenter that responded to the OMB request asserted that the 
economic analysis of the interim final rule understated the costs to 
small businesses, particularly to small and very small processing 
plants, and overstated the benefits of the rule. The commenter noted 
that FSIS estimated the annual cost of the rule to the industry in the 
range of $16.6 million, and that benefits were in the range of $44 
million to $154 million. However, the commenter estimated that the 
actual costs were closer to $115 million per year. The commenter 
charged that for each of the ``10,000 plants'' (sic) that are subject 
to the rule, the true costs are closer to $11,500 per year and over 
$1.15 billion over ten years. According to the commenter, the costs 
reflect the purchase of new equipment, reconfiguration of plant 
facilities, accumulated interest of $50,000 per plant, and estimated 
annual costs of $6,500 for testing to ensure compliance and for 
consultants. The grand total then would be $115,000 per plant.
    The commenter asserted that the rule puts American firms at a 
competitive disadvantage with foreign firms, and that the burden of the 
rule is so great that some small and very small plants may cease 
operations.
    The commenter did not present an alternative benefit estimate in 
dollar terms but asserted that FSIS based its estimates on data that 
the Centers for Disease Control and Prevention (CDC) gathered through 
1997, while CDC data for 1996 to 2000 show a 38 percent decrease in 
incidence of, and mortality from, Lm. Also the commenter asserted on 
the basis of the Q&A provided with the 2003 FDA/FSIS joint risk 
assessment that FSIS used for the interim final rule that it is likely 
that the annual total cases were less than 1,500, with 300 deaths.
    Another commenter recommended that FSIS review the compliance costs 
of the rule and increase the calculation of those costs to a more 
reasonable figure.
    Response: The commenters misstated the regulatory impact analysis 
of the interim final rule on key points. For example, rather than 
10,000 plants, as one commenter stated, the rule was estimated to 
affect 2,930 total Federal establishments. In actual fact, the rule 
affected 2,473 Federal establishments in 2006 and 2,307 Federal 
establishments in 2013. Thus, the comment, on that basis alone, 
increased the arguable costs of the rule.
    The comment stated that the costs of new equipment, plant 
reconfiguration, testing, and outside expert technical

[[Page 35187]]

assistance are a substantial burden on small plants that the Agency 
ignored in its analysis. However, the interim final rule did not 
require these plants to upgrade their operations. For this reason, such 
costs are not a direct effect of the rule. The regulatory impact 
analysis estimated that the vast majority of very small plants, such as 
the one submitting the comment, would use Alternative-3 type controls 
(sanitation only) to control Lm instead of changing from Alternative 3 
to Alternative 2 or 1. Costs for Alternative 3 are minimal because it 
only requires an establishment to control Lm through its sanitation 
program. An establishment would not need to purchase new equipment for 
post-lethality treatment or apply antimicrobial agents. Comparing FSIS 
PHIS data of calendar year (CY) 2013 and the baseline in the 2003 
interim final rule, the Agency found that about 77 percent of the small 
and very small establishments that used alternative 3 still use 
alternative 3.\4\ The percentage increases from the baseline to CY 2013 
for small and very small establishments using Alternative 2b, 
Alternative 2a, and Alternative 1 are 17 percent, 1 percent and 1.5 
percent, respectively. Therefore, the costs the small and very small 
establishments would incur would mostly be those attributable to 
initial and on-going compliance with the sanitation program 
requirements of the rule.
---------------------------------------------------------------------------

    \4\ Note that the composition, and the relative statistics of 
the RTE establishments subject to this rule changed somewhat between 
2003 and 2013, So the comparisons are approximate, not exact.
---------------------------------------------------------------------------

    As to the benefit estimates in the economic analysis of the interim 
final rule, these were based on the potential risk reductions to be 
achieved through the adoption by industry of the Listeria control 
alternatives set out in 9 CFR 430.4. While the comment stated that the 
CDC data for 1996 to 2000 show a 38 percent decrease in incidence of, 
and mortality from, Lm, the comment did not take into account an ``up 
spike'' in listeriosis illness that occurred in 2002-2003 before the 
rule went into effect. Thus, when the rule was promulgated, there were 
a significantly higher number of illnesses to be averted than the 
comment considered. Finally, the benefit estimates in the interim final 
rule were based on the differences in the number of illnesses in the 
risk assessment model results under different scenarios. The risk 
assessment model estimated the number of illnesses using FSIS 
simulation models that assess how the in-plant contamination level 
transfers to the retail contamination level and then assessed the 
number of illnesses based on the dose-response relationship from the 
FDA/FSIS exposure retail-to-table model where all models were 
calibrated for deli meat.\5\
---------------------------------------------------------------------------

    \5\ For details of these models, see footnote 3.
---------------------------------------------------------------------------

    For these reasons, FSIS is affirming the basic conclusions reached 
by the Final Regulatory Impact Analysis that was submitted in support 
of the interim final rule.

Executive Orders 12866 and 13563, and the Regulatory Flexibility Act

    Executive Orders 12866 and 13563 direct agencies to assess all 
costs and benefits of available regulatory alternatives and, if 
regulation is necessary, to select regulatory approaches that maximize 
net benefits (including potential economic, environmental, public 
health and safety effects, distributive impacts and equity). Executive 
Order 13563 emphasizes the importance of quantifying both costs and 
benefits, of reducing costs, of harmonizing rules, and of promoting 
flexibility. This rule has been designated a ``non-significant'' 
regulatory action under section 3(f) of Executive Order (E.O.) 12866. 
Accordingly, the rule has not been reviewed by the Office of Management 
and Budget under E.O. 12866.
    FSIS is affirming the basic conclusions reached by the Final 
Regulatory Impact Analysis that was submitted in support of the interim 
final rule. The two changes do not affect the basic conclusions reached 
by the Final Regulatory Impact Analysis that was submitted with the 
interim final rule. FSIS is making two changes in this document, making 
clear in the regulation that products that have been in contact with a 
Lm contaminated surface would be adulterated if not reprocessed (9 CFR 
430.4(a)) and removing the requirement for establishments to report 
production volume and related information to FSIS because the Agency 
now routinely collects this information through PHIS (9 CFR 430.4(d)). 
Neither change will cause establishments to change their practices to 
comply with the regulation. Therefore, there is no need to conduct a 
cost or benefit analysis to affirm the interim final rule.

Regulatory Flexibility Act Assessment

    The FSIS Administrator certifies that, for the purposes of the 
Regulatory Flexibility Act (5 U.S.C. 601-602), the rule will not have a 
significant economic impact on a substantial number of small entities 
in the United States.

Paperwork Reduction Act

    There are no paperwork or recordkeeping requirements associated 
with this rule under the Paperwork Reduction Act of 1995 (44 U.S.C. 
3501-3520).

E-Government Act

    FSIS and USDA are committed to achieving the purposes of the E-
Government Act (44 U.S.C. 3601, et seq.) by, among other things, 
promoting the use of the Internet and other information technologies 
and providing increased opportunities for citizen access to Government 
information and services, and for other purposes.

Executive Order 12988

    This rule has been reviewed under the Executive Order 12988, Civil 
Justice Reform. Under this rule: (1) All State and local laws and 
regulations that are inconsistent with this rule will be preempted; (2) 
no retroactive effect will be given to this rule; and (3) no 
administrative proceedings will be required before parties may file 
suit in court challenging this rule.

Executive Order 13175

    This rule has been reviewed in accordance with the requirements of 
Executive Order 13175, ``Consultation and Coordination with Indian 
Tribal Governments.'' E.O. 13175 requires Federal agencies to consult 
and coordinate with tribes on a government-to-government basis on 
policies that have tribal implications, including regulations, 
legislative comments or proposed legislation, and other policy 
statements or actions that have substantial direct effects on one or 
more Indian tribes, on the relationship between the Federal Government 
and Indian tribes or on the distribution of power and responsibilities 
between the Federal Government and Indian tribes.
    FSIS has assessed the impact of this rule on Indian tribes and 
determined that this rule does not, to our knowledge, have tribal 
implications that require tribal consultation under E.O. 13175. If a 
Tribe requests consultation, the Food Safety and Inspection Service 
will work with the Office of Tribal Relations to ensure meaningful 
consultation is provided where changes, additions and modifications 
identified herein are not expressly mandated by Congress.

USDA Nondiscrimination Statement

    No agency, officer, or employee of the USDA shall, on the grounds 
of race, color, national origin, religion, sex, gender identity, sexual 
orientation, disability, age, marital status, family/

[[Page 35188]]

parental status, income derived from a public assistance program, or 
political beliefs, exclude from participation in, deny the benefits of, 
or subject to discrimination any person in the United States under any 
program or activity conducted by the USDA.
    To file a complaint of discrimination, complete the USDA Program 
Discrimination Complaint Form, which may be accessed online at http://www.ocio.usda.gov/sites/default/files/docs/2012/Complain_combined_6_8_12.pdf, or write a letter signed by you or your 
authorized representative.
    Send your completed complaint form or letter to USDA by mail, fax, 
or email:
    Mail: U.S. Department of Agriculture, Director, Office of 
Adjudication, 1400 Independence Avenue SW., Washington, DC 20250-9410.
    Fax: (202)690-7442.
    Email [email protected].
    Persons with disabilities who require alternative means for 
communication (Braille, large print, audiotape, etc.) should contact 
USDA's TARGET Center at (202)720-2600 (voice and TDD).

Additional Public Notification

    Public awareness of all segments of rulemaking and policy 
development is important. Consequently, FSIS will announce this Federal 
Register publication on-line through the FSIS Web page located at: 
http://www.fsis.usda.gov/federal-register.
    FSIS also will make copies of this publication available through 
the FSIS Constituent Update, which is used to provide information 
regarding FSIS policies, procedures, regulations, Federal Register 
notices, FSIS public meetings, and other types of information that 
could affect or would be of interest to our constituents and 
stakeholders. The Update is available on the FSIS Web page. Through the 
Web page, FSIS is able to provide information to a much broader, more 
diverse audience. In addition, FSIS offers an email subscription 
service which provides automatic and customized access to selected food 
safety news and information. This service is available at: http://www.fsis.usda.gov/subscribe. Options range from recalls to export 
information, regulations, directives, and notices. Customers can add or 
delete subscriptions themselves, and have the option to password 
protect their accounts.

List of Subjects in 9 CFR Part 430

    Food labeling, Meat inspection, Poultry and poultry products 
inspection.

    For the reasons set forth in the preamble, FSIS is adopting as 
final the interim final rule that amended Title 9, Chapter III, of the 
Code of Federal Regulations and that was published at 68 FR 34208 on 
June 6, 2003, with the following amendments:

PART 430--REQUIREMENTS FOR SPECIFIC CLASSES OF PRODUCT

0
1. The authority citation for part 430 continues to read as follows:

    Authority: 7 U.S.C. 450; 7 U.S.C. 1901-1906; 21 U.S.C. 451-470, 
601-695; 7 CFR 2.18, 2.53.


0
2. Amend Sec.  430.4 by:
0
a. Revising paragraph (a).
0
b. Revising paragraph (b)(2)(iii)(B).
0
c. Revising paragraph (b)(3)(i)(B).
0
d. Revising paragraphs (b)(3)(ii)(B) and (C).
0
e. Removing and reserving paragraph (d).
    The revisions read as follows:


Sec.  430.4  Control of Listeria monocytogenes in post-lethality 
exposed ready-to-eat products.

    (a) Listeria monocytogenes can contaminate RTE products that are 
exposed to the environment after they have undergone a lethality 
treatment. L. monocytogenes is a hazard that an establishment producing 
post-lethality exposed RTE products must control through its HACCP plan 
or prevent in the processing environment through a Sanitation SOP or 
other prerequisite program. RTE product is adulterated if it contains 
L. monocytogenes, or if it comes into direct contact with a food 
contact surface that is contaminated with L. monocytogenes. 
Establishments must not release into commerce product that contains L. 
monocytogenes or that has been in contact with a food contact surface 
contaminated with L. monocytogenes without first reworking the product 
using a process that is destructive of L. monocytogenes.
    (b) * * *
    (2) * * *
    (iii) * * *
    (B) Identify the conditions under which the establishment will 
implement hold-and-test procedures following a positive test of a food-
contact surface for an indicator organism;
* * * * *
    (3) * * *
    (i) * * *
    (B) Identify the conditions under which the establishment will 
implement hold-and-test procedures following a positive test of a food-
contact surface for an indicator organism;
* * * * *
    (ii) * * *
    (B) During this follow-up testing, if the establishment obtains a 
second positive test for an indicator organism, the establishment must 
hold lots of product that may have become contaminated by contact with 
the food contact surface until the establishment corrects the problem 
indicated by the test result.
    (C) In order to release into commerce product held under this 
section, the establishment must sample and test the lots for L. 
monocytogenes or an indicator organism using a sampling method and 
frequency that will provide a level of statistical confidence that 
ensures that each lot is not adulterated with L. monocytogenes. The 
establishment must document the results of this testing. Alternatively, 
the establishment may rework the held product using a process that is 
destructive of L. monocytogenes or the indicator organism.
* * * * *

Done, at Washington, DC: May 29, 2015.
Alfred V. Almanza,
Acting Administrator.
[FR Doc. 2015-13507 Filed 6-18-15; 8:45 am]
 BILLING CODE 3410-DM-P



                                             35178                 Federal Register / Vol. 80, No. 118 / Friday, June 19, 2015 / Rules and Regulations

                                                                                            TABLE 1—OVERVIEW OF FINAL ACTION FOR SUNSET 2015
                                              National list section                                                            Substance listing                                                                   Final action

                                                                                            Synthetic substances allowed for use in organic crop production

                                             § 205.601(a)(8) ........    Sodium carbonate peroxyhydrate (CAS #–15630–89–4)—Federal law restricts the use of this sub-                                           Renew.
                                                                           stance in food crop production to approved food uses identified on the product label.
                                             § 205.601(e)(2) ........    Aqueous potassium silicate (CAS #–1312–76–1)—the silica, used in the manufacture of potassium                                          Renew.
                                                                           silicate, must be sourced from naturally occurring sand.
                                             § 205.601(i)(1) .........   Aqueous potassium silicate (CAS #–1312–76–1)—the silica, used in the manufacture of potassium                                          Renew.
                                                                           silicate, must be sourced from naturally occurring sand.
                                             § 205.601(j)(9) .........   Sulfurous acid (CAS # 7782–99–2) for on-farm generation of substance utilizing 99% purity ele-                                         Renew.
                                                                           mental sulfur per paragraph (j)(2) of this section.

                                                 Nonagricultural (nonorganic) substances allowed as ingredients in or on processed products labeled as ‘‘organic’’ or ‘‘made with
                                                                                       organic (specified ingredients or food group(s)).’’

                                             § 205.605(a) ............   Gellan gum—(CAS # 71010–52–1)—high-acyl form only .....................................................................                Renew.

                                                      Nonorganically produced agricultural products allowed as ingredients in or on processed products labeled as ‘‘organic.’’

                                             § 205.606(w) ...........    Tragacanth gum (CAS #–9000–65–1) ...................................................................................................   Renew.



                                                Authority: 7 U.S.C. 6501–6522.                             reprocessing the product. In addition,                           Program Development; Telephone: (202)
                                             Rex A. Barnes,
                                                                                                           FSIS is removing the requirement for                             205–0495.
                                                                                                           establishments to report production                              SUPPLEMENTARY INFORMATION:
                                             Associate Administrator, Agricultural
                                             Marketing Service.
                                                                                                           volume and related information to FSIS
                                                                                                           because the Agency now routinely                                 Background
                                             [FR Doc. 2015–14865 Filed 6–18–15; 8:45 am]
                                                                                                           collects this information through its                               On February 27, 2001, FSIS proposed
                                             BILLING CODE P
                                                                                                           Public Health Information System                                 (66 FR 12589) to establish several new
                                                                                                           (PHIS).                                                          requirements for the processing of
                                             DEPARTMENT OF AGRICULTURE                                     DATES: Effective September 17, 2015.                             ready-to-eat (RTE) and other meat and
                                                                                                           Comments must be received on or                                  poultry products. The Agency proposed
                                             Food Safety and Inspection Service                            before August 18, 2015.                                          food safety performance standards for
                                                                                                           ADDRESSES: FSIS invites interested                               all RTE and all partially heat-treated
                                             9 CFR Part 430                                                persons to submit comments on the                                meat and poultry products. FSIS also
                                                                                                           changes. Comments may be submitted                               proposed to eliminate its regulations
                                             [Docket No. FSIS–2014–0033]
                                                                                                           by one of the following methods:                                 that require both RTE and not-ready-to
                                             RIN 0583–AD53                                                    • Federal eRulemaking Portal: This                            eat pork and products containing pork
                                                                                                           Web site provides the ability to type                            to be treated to destroy trichina
                                             Control of Listeria monocytogenes in                                                                                           (Trichinella spiralis).
                                                                                                           short comments directly into the
                                             Ready-to-Eat Meat and Poultry                                                                                                     Finally, FSIS proposed environmental
                                                                                                           comment field on this Web page or
                                             Products                                                                                                                       testing requirements for establishments
                                                                                                           attach a file for lengthier comments. Go
                                             AGENCY:  Food Safety and Inspection                           to http://www.regulations.gov. Follow                            to verify whether their processes were
                                             Service, USDA.                                                the on-line instructions at that site for                        addressing Lm in RTE meat and poultry
                                             ACTION: Affirmation of the interim final                      submitting comments.                                             products. Specifically, FSIS proposed to
                                             rule with amendments; request for                                • Mail, including CD–ROMs, etc.:                              require establishments that produce
                                             comments.                                                     Send to Docket Clerk, U.S. Department                            RTE meat and poultry products to test
                                                                                                           of Agriculture, Food Safety and                                  food contact surfaces for Listeria species
                                             SUMMARY:   The Food Safety and                                Inspection Service, Patriots Plaza 3,                            to verify that the establishments are
                                             Inspection Service (FSIS) is affirming,                       1400 Independence Avenue SW.,                                    controlling the presence of Lm within
                                             with changes and a request for                                Mailstop 3782, Room 8–163A,                                      their processing environments. Under
                                             comment, the interim final rule                               Washington, DC 20250–3700.                                       the proposal, establishments that
                                             ‘‘Control of Listeria monocytogenes in                           • Hand- or courier-delivered                                  developed and implemented Hazard
                                             Ready-to-Eat Meat and Poultry                                 submittals: Deliver to Patriots Plaza 3,                         Analysis and Critical Control Point
                                             Products,’’ which was published in the                        355 E. Street SW., Room 8–163A,                                  (HACCP) controls for Lm would have
                                             Federal Register on June 6, 2003. FSIS                        Washington, DC 20250–3700.                                       been exempt from these testing
                                             is making minor changes to the                                   Instructions: All items submitted by                          requirements.
                                             regulatory provisions in response to                          mail or electronic mail must include the
                                             comments that the Agency received, on                         Agency name and docket number FSIS–                              Interim Final Rule
                                             the basis of experience in implementing                       2014–0033. Comments received in                                    On June 6, 2003, FSIS published the
                                             the provisions, and because the way                           response to this docket will be made                             interim final rule ‘‘Control of Listeria
                                                                                                           available for public inspection and
rmajette on DSK2TPTVN1PROD with RULES




                                             FSIS obtains establishment profile                                                                                             monocytogenes in Ready-to-Eat Meat
                                             information electronically has changed.                       posted without change, including any                             and Poultry Products’’ (68 FR 34208). In
                                             FSIS is clarifying in the regulations that                    personal information, to http://                                 the interim final rule, FSIS amended its
                                             establishments may not release into                           www.regulations.gov.                                             regulations only in regard to the control
                                             commerce product that has been in                             FOR FURTHER INFORMATION CONTACT: Dr.                             of Lm in RTE products. The Agency
                                             contact with Listeria monocytogenes                           Daniel L. Engeljohn, Assistant                                   decided to adopt these regulations
                                             (Lm)-contaminated surfaces without                            Administrator, Office of Policy and                              before completing action on the other


                                        VerDate Sep<11>2014    16:58 Jun 18, 2015    Jkt 235001    PO 00000      Frm 00002     Fmt 4700     Sfmt 4700    E:\FR\FM\19JNR1.SGM         19JNR1


                                                                  Federal Register / Vol. 80, No. 118 / Friday, June 19, 2015 / Rules and Regulations                                          35179

                                             provisions of the proposed rule because                 process that destroys Lm (9 CFR 430.4                  growth of Lm than at an establishment
                                             of outbreaks of foodborne listeriosis,                  (b)(3)(ii)).                                           that uses a post-lethality treatment (9
                                             and because of recalls of meat and                         The regulations include requirements                CFR 430.4(b)(2)(iv)). FSIS conducts
                                             poultry products adulterated by Lm.                     for proper documentation of an                         more testing at an establishment that
                                             FSIS plans to address the other                         establishment’s Listeria controls, the                 chooses Alternative 3 than at an
                                             proposed provisions in future Federal                   verification of those controls, and the                establishment that has chosen
                                             Register publications.                                  availability of the documentation to                   Alternative 1 or 2 (9 CFR
                                                The interim final regulations remain                 FSIS personnel. In addition, the                       430.4(b)(3)(iii)).
                                             in effect. Under these regulations, an                  regulations require an establishment                      Finally, the regulations allow
                                             establishment that manufactures post-                   that produces post-lethality-exposed                   establishments that use post-lethality
                                             lethality-exposed RTE meat or poultry                   RTE products to provide FSIS, at least                 treatments or antimicrobial agents or
                                             products must control Lm in the                         annually, with estimates of annual                     processes that are effective in destroying
                                             processing environment through its                      production volume and related                          Lm or in limiting its growth to declare
                                             HACCP plan or prevent contamination                     information on the types of products it                this fact on the labels of their products
                                             of products by the pathogen through                     processes under each of the Lm control                 (9 CFR 430.4(e)). The purpose of the
                                             sanitation standard operating                           alternatives (9 CFR 430.4(d)).                         voluntary labeling is to inform
                                             procedures (Sanitation SOPs) or other                      FSIS decided to establish the                       consumers about measures that have
                                             prerequisite program. The regulations (9                regulatory requirements for preventing                 been taken to ensure the safety of the
                                             CFR 430.4(b)(1)–(3)) identify three                     Lm contamination of RTE meat and                       products and thus to enable the
                                             alternative means of controlling Lm:                    poultry products based on two studies                  consumers to select such products in
                                             Alternative 1—use of a post-lethality                   on the public health risk posed by the                 preference to others.
                                             treatment (e.g., steam pasteurization, hot              pathogen in RTE food products. The                        On October 6, 2003, the Agency
                                             water pasteurization, radiant heating,                  first study, an FSIS-Food and Drug                     supplemented the interim final rule
                                             high pressure processing (HPP),                         Administration (FDA) risk ranking of                   with the ‘‘FSIS Compliance Guideline:
                                             ultraviolet treatment, infrared treatment,              RTE food products, placed hotdog and                   Controlling Listeria monocytogenes in
                                             or drying) that reduces or eliminates                   deli-meat products among products that                 Post-lethality Exposed Ready-to-Eat
                                             populations of the organism and use of                  pose the highest risk in terms of                      Meat and Poultry Products’’ (the
                                             an antimicrobial agent (e.g., potassium                 listeriosis cases per annum.1 The second               Compliance Guideline). The Agency
                                             lactate or sodium diacetate) or process                 study, a quantitative risk assessment by               also conducted a series of workshops on
                                             (e.g., freezing) that suppresses or limits              FSIS of Lm in deli meats, identified                   the interim final rule at several locations
                                             growth of the organism; Alternative 2—                  combinations of in-plant control                       around the country during the pre-
                                             use of either a post-lethality treatment                measures that showed the greatest                      implementation period before October
                                             that reduces or eliminates Lm or an                     potential for reducing the public health               6, 2003, when the interim final rule
                                             antimicrobial agent (Alternative 2a) or                 risks posed by Lm.2 The second study                   became effective. On January 10, 2014,
                                             process that suppresses or limits growth                enabled FSIS to determine that the first               FSIS made available an updated version
                                             of the organism (Alternative 2b);                       Lm control alternative identified in the               of the Compliance Guideline is available
                                             Alternative 3—use of only sanitation to                 interim final rule—post-lethality                      on FSIS’s Web site at http://
                                             control the organism. The regulations                   treatment plus growth limitation or                    www.fsis.usda.gov/wps/wcm/connect/
                                             require an establishment that uses a                    suppression—provided the greatest risk                 d3373299-50e6-47d6-a577-
                                             post-lethality treatment for controlling                reduction potential, while the third                   e74a1e549fde/Controlling-Lm-RTE-
                                             Lm to validate the treatment’s                          alternative—sanitation only—provided                   Guideline.pdf?MOD=AJPERES.
                                             effectiveness and incorporate it in its                 the least.                                                Based on available data, FSIS is
                                             HACCP plan. Under the regulations (9                       In the regulations, FSIS advised                    confident that it is successfully carrying
                                             CFR 430.4(b)(1)-(3)), an establishment                  establishments that it would conduct                   out its mission to protect public health
                                             that uses an antimicrobial agent                        more testing at establishments if their                by enforcing safeguards designed to
                                             (Alternative 2a) or process that                        Lm control measures provide less                       control Lm. In the 10 years since FSIS
                                             suppresses or limits growth of Lm                       potential risk reduction than other                    issued the interim final rule described
                                             (Alternative 2b), or that uses only a                   available control measures. Thus, the                  above, the percent positive in FSIS
                                             sanitation program (Alternative 3) for                  regulations provide that FSIS will                     testing for Lm in RTE products has
                                             controlling the pathogen must include                   conduct more testing at an                             decreased from 0.76 percent in CY 2003
                                             food-contact surface testing in its                     establishment that chooses alternative 2               to 0.34 percent in CY 2013. The Agency
                                             sanitation program.                                     and uses a post-lethality treatment of                 considers the RTE regulatory results to
                                                Under the regulations, an                            product than if it had chosen                          be an excellent indicator of the trends
                                             establishment that produces hotdog or                   Alternative 1. Similarly, FSIS will                    in pathogen presence in RTE products
                                             deli-meat products considered to be at                  conduct more testing at an                             over several years. This downward
                                             high risk for Lm contamination and that                 establishment that chooses alternative 2               trend shows that the interim final rule
                                             uses only sanitation to control the                     and uses an antimicrobial agent or                     has been effective in controlling Lm in
                                             pathogen must, after two tests of food-                 process that suppresses or limits the                  RTE meat and poultry products.
                                             contact surfaces that are positive for Lm                                                                      Therefore, FSIS is affirming the interim
                                             or an indicator organism under the                        1 FDA/Center for Food Safety and Applied
                                                                                                                                                            rule as final with only the minor
                                             conditions described in the regulation,                 Nutrition; USDA/FSIS. September 2003.                  changes discussed below.
                                                                                                     Quantitative Assessment of the Relative Risk to
                                             withhold affected product from                          Public Health from Foodborne Listeria                  Opportunities To Comment
rmajette on DSK2TPTVN1PROD with RULES




                                             commerce until the food-contact surface                 Monocytogenes among Selected Categories of
                                             contamination problem is corrected.                     Ready-to-Eat Foods. Washington, DC. http://               Because some of the approaches to Lm
                                             The establishment may release the held                  www.fda.gov/downloads/Food/                            control addressed in the interim final
                                             product only after statistically valid                  FoodScienceResearch/UCM197329.pdf.                     rule were novel, FSIS provided an 18-
                                                                                                       2 USDA/FSIS. May 2003. FSIS Risk Assessment
                                             sampling shows the product not to be                    for Listeria monocytogenes in Deli Meats.
                                                                                                                                                            month comment period (69 FR 70051;
                                             adulterated with Lm, or after the                       Washington, DC. http://www.fsis.usda.gov/OPPDE/        December 2, 2004). FSIS also assembled
                                             product has been reworked using a                       rdad/FRPubs/97-013F/ListeriaReport.pdf.                a team of Agency experts to make a


                                        VerDate Sep<11>2014   15:11 Jun 18, 2015   Jkt 235001   PO 00000   Frm 00003   Fmt 4700   Sfmt 4700   E:\FR\FM\19JNR1.SGM   19JNR1


                                             35180                Federal Register / Vol. 80, No. 118 / Friday, June 19, 2015 / Rules and Regulations

                                             preliminary assessment of the interim                      Finally, FSIS received comments on                  regulations will refer only to additional
                                             final rule. FSIS announced in the                       the impact of the interim final rule on                establishment testing in response to
                                             Federal Register (69 FR 70051;                          small businesses from the Office of                    positive indicator organism results. In
                                             December 2, 2004) that the report                       Management and Budget (OMB) in                         addition in paragraph 9 CFR
                                             ‘‘Assessing the Effectiveness of the                    response to OMB’s 2004 Draft Report to                 430.4(b)(3)(ii)(C), FSIS has removed
                                             Listeria Monocytogenes Interim Final                    Congress on the Costs and Benefits of                  provisions that may suggest that
                                             Rule’’ was available in the Agency’s                    Federal Regulation (69 FR 7987;                        establishments may ‘‘be able to release
                                             Docket Room and on line at http://                      February 20, 2004). The commenters                     into commerce the lots of product that
                                             www.fsis.usda.gov/wps/wcm/connect/                      stated that FSIS underestimated the                    may have become contaminated with L.
                                             4174b07e-8b39-4617-acdf-                                costs and overestimated the benefits of                monocotogenes’’ because, as is stated in
                                             adc38a249cd7/LM_Assessment_Report_                      the interim final rule. The commenters                 9 CFR 430.4(a), such product is
                                             2004.pdf?MOD=AJPERES.                                   stated that the rule should be rescinded               adulterated and cannot be released into
                                                In addition, FSIS asked the National                 or amended to replace the regulatory                   commerce.
                                             Advisory Committee on Meat and                          requirements for small and very small                    FSIS is also removing the requirement
                                             Poultry Inspection (NACMPI) to review                   processors with a pre-HACCP regulatory                 that establishments report production
                                             the interim final rule and the                          environment. In response, FSIS stated                  volume and related information to FSIS
                                             assessment team’s report and to make its                that the Agency would consider all                     because the Agency now collects this
                                             own recommendations (69 FR 29124).                      comments and respond to them in a                      information through PHIS.
                                             NACMPI made recommendations on the                      final rule.                                              In accordance with section 553 of the
                                             assessment at its June 2–3, 2004,                          A summary of the comments and                       Administrative Procedure Act (5 U.S.C.
                                             meeting. The Agency responded to the                    FSIS’s response is reflected in the                    553), the Agency finds good cause for
                                             recommendations at the NACMPI                           March 2005 OMB report ‘‘Regulatory                     making these changes effective
                                             meeting held on November 16–17, 2004                    Reform in the U.S. Manufacturing                       September 17, 2015. This rule provides
                                             (69 FR 64902). NACMPI recommended                       Sector,’’ which is available at http://                minor conforming amendments to
                                                                                                     www.whitehouse.gov/omb/inforeg_                        FSIS’s regulations and imposes no new
                                             that the assessment team focus on the
                                                                                                     regpol_reports_congress.                               or substantive requirements on the
                                             differences among small, very small,
                                                                                                        In developing this final rule, FSIS                 public. For these reasons, FSIS has
                                             and large plants and assess the
                                                                                                     considered all comments received in                    determined that notice and opportunity
                                             economic impact on very small and
                                                                                                     response to the documents described                    for public comment on these changes
                                             large plants. NACMPI also
                                                                                                     above. Based on information provided                   are unnecessary. However, FSIS is
                                             recommended that FSIS conduct focus
                                                                                                     by comments, FSIS’s experience                         providing the public with an
                                             groups to determine whether consumers
                                                                                                     enforcing the interim final regulations,               opportunity to comment on these minor,
                                             are confused by the provisions for
                                                                                                     and analysis of available data, FSIS has               conforming changes.
                                             labeling statements explaining that
                                                                                                     decided to affirm the provisions in the
                                             product has undergone post-lethality                    interim final rule with two minor                      Comments and Responses
                                             treatments or has been treated with an                  changes. The minor changes are                            FSIS received comments from five
                                             antimicrobial. Finally, NACMPI                          explained below and are discussed in                   trade associations that represent meat
                                             recommended that FSIS determine                         more detail in the Agency’s responses to               and poultry processors, two consumer
                                             whether the assumptions on product                      comments.                                              organizations, an association that
                                             risk made in the FDA/USDA                                                                                      represents small businesses, an
                                             Quantitative Risk Assessment are                        Summary of Amendments to the                           association that represents
                                             accurate.                                               Interim Final Rule                                     manufacturers, an organization that
                                                FSIS agreed to consider variables such                  FSIS is clarifying that product that                represents scientists, a very small
                                             as product types and the frequency of                   has tested positive for Lm or that has                 establishment, and an individual
                                             production, which reflect differences                   been in contact with an equipment                      consumer on the interim final and on
                                             among small, very small, and large                      surface that has tested positive for Lm                the other opportunities for comment
                                             plants. The Agency also agreed to                       is adulterated and may not be released                 described above. Following are FSIS’s
                                             review whether the rule has caused                      into commerce. FSIS is also making                     responses to the issues that they raised.
                                             firms, particularly small firms, to go out              explicit in 9 CFR 430.4(a), however, that
                                             of business. FSIS also continued to                     the product may be reprocessed using a                 Applicability of Rule; Exemption of
                                             assess the effects of the informational                 method that destroys Lm.                               Certain Products
                                             labeling statements allowed under the                      9 CFR 430.4(a) clearly states that                     Comment: Several commenters stated
                                             rule. However, FSIS stated that the                     ‘‘RTE product is adulterated if it                     that certain classes of products should
                                             informational labeling provision should                 contains L. monocytogenes or if it comes               be exempt from the rule. For example,
                                             remain in the final version of the Lm                   into direct contact with a food contact                these commenters stated that products
                                             rule as an encouragement to industry to                 surface which is contaminated with L.                  that are exposed to the environment but
                                             declare that products have undergone                    monocytogenes.’’ However, the wording                  that receive a validated, post-packaging
                                             post-lethality treatments or have been                  of paragraphs 9 CFR 430.4(b)(2)(iii)(B),               lethality, such as products that are
                                             treated with anti-microbial agents or                   (b)(3)(i)(B), and (b)(3)(ii)(B) and (C) has            cooked, repackaged, and then irradiated,
                                             processes to destroy Lm. FSIS agreed to                 led some establishments to question                    thermally processed, or high-pressure
                                             assess the three alternatives in the rule               whether they may perform further                       processed in their final package, should
                                             and evaluate their effectiveness for risk               confirmation testing after a finding of                be exempt from the requirements in the
                                             mitigation.                                             Lm in RTE product and then release the                 rule. These commenters stated that the
rmajette on DSK2TPTVN1PROD with RULES




                                                NACMPI’s recommendations and                         product into commerce. Therefore, FSIS                 fact that there was product exposure to
                                             FSIS’s responses can be viewed at                       removed from paragraphs 9 CFR                          the post-lethality processing
                                             http://www.fsis.usda.gov/wps/wcm/                       430.4(b)(2)(iii)(B), (b)(3)(i)(B), and                 environment during the repackaging
                                             connect/d8be3905-5f3c-458d-a5e7-                        (b)(3)(ii)(B) provisions concerning                    operation that followed the initial cook
                                             f5149457b20e/LM_Assessment_                             additional establishment testing in                    should not subject such a product to the
                                             Response.pdf?MOD=AJPERES.                               response to Lm results. As revised, the                Lm control rule. In addition, the


                                        VerDate Sep<11>2014   15:11 Jun 18, 2015   Jkt 235001   PO 00000   Frm 00004   Fmt 4700   Sfmt 4700   E:\FR\FM\19JNR1.SGM   19JNR1


                                                                  Federal Register / Vol. 80, No. 118 / Friday, June 19, 2015 / Rules and Regulations                                         35181

                                             commenters stated that, products that                      A product that has undergone a                      standard of identity in 9 CFR 319.180,
                                             remain at a temperature lethal to Lm                    lethality treatment and is hot-filled into             are commonly understood to be RTE
                                             until the products are filled into the                  packaging may be considered to be an                   and cannot be labeled for ‘‘further
                                             final packaging should be exempt.                       RTE product that has not been post-                    processing’’ as a non-RTE product. In
                                                Response: An establishment that                      lethality exposed if the temperature                   addition, a product that otherwise
                                             produces post-lethality exposed RTE                     lethal to pathogens and the sanitary                   would be considered RTE, but that is
                                             products is appropriately required to                   handling of the product are                            shipped to another FSIS inspected
                                             control Lm through HACCP or a                           continuously maintained to the point                   establishment for use in a non-RTE
                                             sanitation program because an RTE                       where the product is packaged. In this                 product, is not considered RTE and
                                             product that is not free of pathogens,                  situation, the establishment needs to                  therefore, is not covered by the rule.
                                             including Lm, can easily cause illness                  have documentation on file showing                        It should be noted that FSIS Form
                                             because it will not be subject to a                     that the lethality temperature and                     10,240–1 was discontinued on
                                             lethality step before consumption.                      sanitary handling are maintained                       September 30, 2011. As mentioned
                                             Therefore, FSIS is not exempting such                   continuously from the point of lethality               above, FSIS continues to collect the
                                             post-lethality-treated products from the                to the point of packaging.                             same information through PHIS.
                                             requirements in this rule.                                 Comment: A few commenters                              Comment: One commenter asked FSIS
                                                Post-lethality exposed product may be                objected to the assessment team’s                      to explain the criteria for determining
                                             at risk of contamination and thus needs                 statement that Lm is reasonably likely to              when antimicrobial processes also act as
                                             to be subject to the requirements in this               occur in the production of RTE meat                    post-lethality treatments. In particular,
                                             rule. However, a product that is not                    and poultry products. The commenters                   the commenter wanted FSIS to explain
                                             post-lethality exposed (not removed                     argued that the assessment team ignored                why products with a water activity (aw)
                                             from the container in which it is                       the value of post-lethality treatments.                of less than 0.85 rather than of 0.92 or
                                             processed) is not subject to the                           Response: In the assessment report,                 less will not support Lm growth.
                                             requirements in this rule.                              the assessment team was expressing a                      Response: FSIS has addressed this
                                                Regarding HPP of RTE product, in                     view that Lm is reasonably likely to                   issue in the Compliance Guideline. Low
                                             most cases that FSIS is aware of, HPP is                occur in the absence of controls to                    water activity limits the amount of
                                             applied to an RTE product that was                      eliminate or reduce it. Many in                        water available to pathogens such as Lm
                                             previously subject to a lethality                       industry, Government, and academe                      and will not allow them to grow. An aw
                                             treatment, such as cooking, and then                    share the view that Lm is ubiquitous in                less than or equal to 0.92 will not
                                             was exposed to the environment before                   the RTE processing environment, and                    support the growth of Lm, and an aw of
                                             being packaged. Thus, HPP is                            that a prudent establishment would                     0.85 or less (the aw for achieving shelf
                                             considered a post-lethality treatment                   maintain controls in its production                    stability) can sometimes even reduce Lm
                                             that is subject to the Alternative 1 or                 process to prevent the contamination of                numbers. FSIS will consider an aw of
                                             Alternative 2 requirements of 9 CFR                     its food products. Establishments use                  ≤0.85 at the time the product is packed
                                             430.4.                                                  post-lethality treatments because the                  to be a post-lethality treatment and to be
                                                There may be cases in which a                        pathogen is reasonably likely to occur in              an antimicrobial treatment if the
                                             treatment is applied to a post-lethality                the product in the absence of the                      establishment provides supporting
                                             exposed RTE product in such a manner                    treatment. For this reason, the                        documentation that Lm is reduced by at
                                             that the product could no longer be                     regulations require that an                            least 1-log before the product leaves the
                                             regarded as post-lethality exposed and                  establishment that uses a post-lethality               establishment, and that no more than 2-
                                             thus would be exempt from the interim                   treatment include the treatment in its                 logs of growth of Lm occurs over the
                                             final rule. For example, if HPP is                      HACCP plan or Sanitation SOP or other                  shelf life of the product.
                                             validated to achieve at least a 5-log                   prerequisite program (9 CFR                               Comment: One commenter asked FSIS
                                             reduction of Lm and other pathogens of                  430.4(b)(1)(i)).                                       to clarify for establishments the
                                             concern (e.g., Escherichia coli O157:H7                    Comment: A few commenters                           distinction between RTE and not-RTE
                                             and Salmonella) for cooked uncured                      suggested that the statements in the                   products. The commenter stated that
                                             meat patties or at least a 7-log reduction              questions and answers accompanying                     documentation for making the
                                             in cooked chicken strips, the process                   FSIS Form 10,240–1 should be reflected                 determination is not available for a
                                             would be considered to achieve full                     in the final rule. According to one such               number of products.
                                             lethality, and the product would not be                 statement on the questions and answers                    Response: In Attachment 1.2 of the
                                             considered to be post-lethality exposed                 accompanying FSIS Form 10,240–1,                       Compliance Guideline, FSIS provides a
                                             (see 9 CFR 318.23).                                     products intended for further processing               chart that distinguishes three types of
                                                FSIS has explained in its Compliance                 and labeled for further processing are                 products, two not-RTE and one RTE.
                                             Guideline (http://www.fsis.usda.gov/                    not subject to the rule. According to                  One type of not-RTE product is a
                                             wps/wcm/connect/d3373299-50e6-                          another, products that otherwise would                 product that contains a meat or poultry
                                             47d6-a577-e74a1e549fde/Controlling-                     be considered RTE, but that are shipped                product ingredient that has not received
                                             Lm-RTE-Guideline.pdf?MOD=AJPERES)                       to another establishment for use in a                  a full lethality treatment sufficient to
                                             that it considers certain RTE products as               non-RTE product (e.g. frozen entrée),                 destroy pathogens (e.g., raw products,
                                             not post-lethality exposed; that is, they               should not be subject to the rule.                     partially cooked products, or products
                                             are not exposed to the environment after                   Response: FSIS has addressed these                  that are irradiated or HPP-treated and do
                                             the lethality treatment and before                      issues in the Compliance Guideline. A                  not achieve at least a 5-log reduction of
                                             packaging. They include fully cooked                    product that is intended for further                   Lm and other pathogens of concern).
                                             ‘‘cook-in-bag’’ product that is shipped                 processing at another FSIS inspected                   This type of not-RTE product could also
rmajette on DSK2TPTVN1PROD with RULES




                                             from the establishment in an intact                     establishment and that is labeled ‘‘for                be a product that has received an
                                             cooking bag, thermally processed                        further processing’’ is not considered                 adequate lethality for Salmonella but is
                                             commercially sterile products, and                      RTE and, therefore, is not covered by                  not defined by a standard of identity or
                                             products that receive a lethality                       the rule. However, products that are                   bear a common or usual name that
                                             treatment and are hot-filled at the                     commonly understood to be RTE, such                    consumers understand to refer to RTE
                                             lethality temperature.                                  as cooked sausages subject to the                      product. The product also does not meet


                                        VerDate Sep<11>2014   15:11 Jun 18, 2015   Jkt 235001   PO 00000   Frm 00005   Fmt 4700   Sfmt 4700   E:\FR\FM\19JNR1.SGM   19JNR1


                                             35182                Federal Register / Vol. 80, No. 118 / Friday, June 19, 2015 / Rules and Regulations

                                             the definition of RTE in 9 CFR 430.1                    production). The commenter stated that                 samples to find sources of harborage
                                             (e.g., not-RTE ham). The other type of                  FSIS needs to provide specific details                 and cross contamination; reassess its
                                             not-RTE product is a product that                       and flow diagrams, with examples. FSIS                 Sanitation SOPs to determine whether
                                             contains a meat or poultry component                    also should provide a hold-and-test                    sanitation issues could be leading to
                                             that has received a full lethality                      scenario flow chart.                                   positive results; assess the effectiveness
                                             treatment for pathogens and that also                      Response: The Compliance Guideline                  of its post-lethality treatment or
                                             contains non-meat or non-poultry                        includes recommendations on                            antimicrobial agents and processes; or
                                             components to which the intended user                   verification testing, methods to be used,              reassess its HACCP plan to determine
                                             must apply a lethality treatment (e.g., a               recommended sampling plans, and a                      whether the actions it is taking are
                                             meal, dinner, or frozen entrée). An RTE                hold-and-test scenario flow chart. The                 effective in controlling Lm.
                                             product, on the other hand, may be a                    Compliance Guideline also includes                        Comment: One commenter stated that
                                             heat-treated or not-heat-treated shelf-                 examples of verification sampling                      FSIS verification sampling should be
                                             stable product, a fully cooked, not-shelf-              programs for the product classes that are              conducted after the use of Lm control
                                             stable product (e.g., hotdogs), or a not-               subject to the interim final rule.                     techniques (such as Alternative 3
                                             shelf-stable product containing                            Establishments are required to hold or              controls) that are more economically
                                             secondary inhibitors (e.g., RTE sausage).               maintain control of RTE products that                  feasible than post-lethality treatments
                                             The chart in the Compliance Guideline                   FSIS has tested for Lm and other                       and the use of growth inhibitors. The
                                             lists HACCP process categories for each                 pathogens, and RTE products that have                  commenter stated that FSIS should
                                             product type, the applicability of safe                 passed over food-contact surfaces that                 conduct risk-based inspection and data
                                             handling labeling, and significant                      FSIS has tested for Lm and other                       collection on risk factors in the
                                             matters that the HACCP plan should                      pathogens. In addition, establishments                 establishment and should use sound
                                             address for the product and process.                    in Alternative 3 (who only use                         statistical techniques in environmental
                                                                                                     sanitation controls) are required to hold              sampling. The commenter also stated
                                             Listeria Control Alternative                            product after a second consecutive food-               that intensified verification testing (IVT)
                                             Requirements                                            contact surface positive for Lm or an                  is a return to the command-and-control
                                                Comment: A few commenters                            indicator organism until the                           mode of inspection that FSIS should
                                             recommended that the determination of                   establishment corrects the problem                     avoid. (An IVT is an FSIS sample
                                             which Lm control alternative is being                   indicated by the test result (9 CFR                    collection activity that the Agency may
                                             used at a given establishment should                    430.4(b)(3)(ii)(B)).                                   conduct when, in either FSIS or
                                             take into account documented processes                     Establishments in Alternative 3 must                establishment testing, a surface that
                                             applied at the establishment to which                   sample and test the lots of product using              comes into contact with post-lethality
                                             its RTE product is shipped. For                         a method that will provide a level of                  exposed RTE product tests positive for
                                             example, the commenters stated that if                  statistical confidence that the product is             a pathogen of public health concern.
                                             an Alternative-3 product is shipped to                  not adulterated (9 CFR                                 IVTs are performed with a ‘‘for cause’’
                                             an establishment where it is subject to                 430.4(b)(3)(ii)(C)). FSIS recommends                   Food Safety Assessment (FSA) to
                                             an Alternative 2-type of process, then                  that establishments use the International              provide an in-depth evaluation of food
                                             FSIS should consider the product as an                  Commission on Microbiological                          safety systems at the establishment. The
                                             Alternative 2 product.                                  Specifications for Foods (ICMSF)                       FSA may find the vulnerability or the
                                                Response: The Compliance Guideline                   Tables. The ICMSF Tables provide                       noncompliance that led to the positive
                                             discusses situations in which an                        examples of statistically-based sampling               result.)
                                             establishment implementing one type of                  plans that are commonly used for                          Response: The regulations in 9 CFR
                                             Lm control to prevent contamination of                  demonstrating lot acceptance. The                      part 430 state that products and the
                                             its post-lethality exposed product ships                ICMSF Tables are included in the                       processing environment under
                                             the product to another establishment                    Compliance Guideline. FSIS also                        Alternative 3 are likely to be subject to
                                             that applies the same or another type of                recommends that establishments collect                 more frequent verification testing by
                                             Lm control. The determination of which                  samples at least three hours after the                 FSIS than products and the processing
                                             Lm control Alternative requirements                     start of operations, if possible, to allow             environment under Alternative 1 or 2.
                                             apply to the product would depend on                    Lm to work its way out to the surface                  In fact, Alternative 3 products are
                                             the extent of documentation and                         of the equipment. If establishments                    sampled at a higher rate in the FSIS
                                             documentation-sharing by each                           typically produce RTE product for less                 risk-based sampling code RTEPROD_
                                             establishment, as well as on the product                than three hours, then the samples can                 RISK (9 CFR 430.4(b)(2)(iv) and
                                             distribution controls actually applied by               be collected less than three hours after               (b)(3)(iii)).
                                             the establishments. If an Alternative-3                 the start of operations.                                  FSIS agrees that inspection should be
                                             product is shipped to an establishment                     FSIS recommends that establishments                 risk-based. To that end, FSIS has
                                             where it is subject to an Alternative 2-                in Alternatives 1 and 2a hold and test                 developed risk-based verification
                                             type of process, and this process is                    product after multiple contact surface                 sampling that focuses the Agency’s
                                             properly documented in the first                        positives for an indicator organism. The               testing on those products or
                                             establishment’s HACCP system, FSIS                      finding of three consecutive positive                  environments in a process where a
                                             would consider the product as an                        food contact surface samples increases                 problem is most likely to occur. As of
                                             Alternative 2-type of product.                          the risk that the product is                           August 1, 2013, FSIS combined its
                                                                                                     contaminated with Lm. If the                           random ALLRTE and risk-based RTE001
                                             Verification Sampling and Testing                       establishment does not hold and test the               product sampling projects into a single
                                               Comment: One commenter agreed                         product after the third positive, it                   project called RTEPROD. The RTEPROD
rmajette on DSK2TPTVN1PROD with RULES




                                             with FSIS’s recommendation that                         should provide other support                           sampling project uses two project codes:
                                             establishments hold all product tested                  demonstrating that the product is not                  RTEPROD_RAND for product samples
                                             by establishments until test results are                likely to be contaminated. The                         selected randomly, and RTEPROD_RISK
                                             known but urged FSIS to say more about                  establishment should take preventative                 for post-lethality-exposed product
                                             when and how tests should be                            steps such as: increase its routine                    samples selected based on risk. Under
                                             conducted (e.g., before or during                       sampling for Lm; collect intensified                   the RTEPROD_RISK project code,


                                        VerDate Sep<11>2014   15:11 Jun 18, 2015   Jkt 235001   PO 00000   Frm 00006   Fmt 4700   Sfmt 4700   E:\FR\FM\19JNR1.SGM   19JNR1


                                                                  Federal Register / Vol. 80, No. 118 / Friday, June 19, 2015 / Rules and Regulations                                        35183

                                             establishments are identified for                       areas but to verify that appropriate                   FSIS positive Lm sample in a product
                                             sampling based on a risk-ranking                        corrective actions have been taken. The                that supports the growth of the
                                             algorithm, which takes into account the                 commenters also questioned whether                     organism. The commenter said that
                                             control alternative, the production                     the Agency would have the resources                    uniform criteria for such reevaluation
                                             volume, the type of product produced,                   necessary to conduct IVT each time an                  should be developed.
                                             and the establishment’s sampling                        establishment surpasses arbitrary yearly                  Response: FSIS’s verification
                                             history.                                                limits, as recommended by the Agency’s                 sampling and testing program for Lm is
                                                FSIS also uses the Routine Lm Risk-                  assessment team.                                       designed to focus Agency resources on
                                             based (RLm) sampling project. While                        Response: The FSIS assessment team                  those products and processes that may
                                             RTEPROD involves sampling and                           addressed the actions that the Agency                  pose higher risks of adulteration.
                                             testing of the RTE meat and poultry                     should take with regard to Lm-positive                    Regarding the apparent similarity in
                                             products themselves, the RLm program                    results from tests performed on official               Lm prevalence among RTE products that
                                             includes sampling and testing of                        samples. It should be understood that                  were sampled randomly and RTE
                                             products, product contact surfaces, and                 every inspected establishment is                       products that were sampled according
                                             environmental surfaces. Thus, RLm                       required by regulation to operate under                to risk, the Agency found that, when
                                             provides a means of identifying                         a HACCP plan and to take corrective                    both ALLRTE and RTE001 samples were
                                             establishments that present a higher risk               actions whenever there is a deviation                  scheduled in one month, often only the
                                             of Lm contamination in the food                         from critical limits for the CCPs                      RTE001 products were collected. In
                                             processing environment before product                   identified in the plan. FSIS personnel                 addition, FSIS found that the highest-
                                             contamination actually occurs.                          are trained to take enforcement action                 risk products produced by the
                                                A routine FSA is conducted at the                    only if there has been a violation of the              establishment were often collected for
                                             establishment in conjunction with RLm                   regulations. If an establishment has                   the ALLRTE project, rather than
                                             sampling and testing. Under RLm,                        found a deviation through its normal                   products collected at random. FSIS
                                             samples are scheduled using a FSA                       HACCP monitoring and verification                      determined that combining the ALLRTE
                                             prioritization model, which takes into                  activities and takes some corrective                   and RTE001 sampling projects into the
                                             account levels of inspection, control                   action based on its findings, the Agency               new RTEPROD project would reduce
                                             alternative, and type of product                        has no regulatory grounds for taking                   redundancy in sample scheduling and
                                             produced. Starting in August 2009, RLm                  enforcement action because of the                      make the sample selection process more
                                             sampling was increased so that                          deviation.                                             efficient. Under RTEPROD, the
                                             establishments that produce post-                          However, if the Agency has                          sampling project codes specify more
                                             lethality exposed RTE product are                       verification testing results or other                  clearly whether FSIS personnel should
                                             sampled at least once every four years                  information that an establishment may                  select samples randomly (RTEPROD_
                                             under this project.                                     have shipped adulterated product, an                   RAND) or based on risk (RTEPROD_
                                                FSIS also agrees that, to be successful,             IVT is one of a number of appropriate                  RISK). In addition, FSIS personnel
                                             risk-based verification must be carried                 actions, including an enforcement                      receive either a RTEPROD_RAND or a
                                             out on the basis of solid information.                  action, that the Agency may take in the                RTEPROD_RISK sampling request at
                                             The IVT activity can be a valuable                      interest of protecting the public health.              most once per month per establishment
                                             source of information for both the                      Repeated findings of Listeria spp. or Lm               (see FSIS Directive 10340.4, Verification
                                             Agency and the inspected establishment                  on food-contact surfaces or on product                 Activities for the Listeria monocytogenes
                                             when potentially serious problems are                   may lead to an enforcement action if                   Regulations and the Ready-to-Eat (RTE)
                                             found in an establishment’s food safety                 FSIS determines that the establishment                 Sampling Program). FSIS personnel are
                                             system. The results of an IVT can be                    is not properly addressing insanitary                  not requested to collect both RTEPROD_
                                             used to help the Agency focus its                       conditions.                                            RAND and RTEPROD_RISK samples in
                                             inspection resources where they are                        Comment: One commenter stated that                  one month to avoid overlap and to
                                             most needed and can help the                            the FSIS sampling program should be                    increase sampling efficiency.
                                             establishment plan improvements in its                  modified to provide baseline                              Regarding the suggestion that
                                             food safety system. In this regard, the                 surveillance information to permit                     establishment HACCP plans and
                                             IVT does not constitute a return to a                   progress to be gauged. The comment                     prerequisite programs be reevaluated in
                                             command-and-control system of                           said that verification sampling should                 the event of an Lm-positive product test,
                                             inspection in which FSIS told the                       target the riskiest products, and that                 such a reevaluation may be necessary
                                             establishment explicitly what it had to                 there should be a properly designed and                depending on the circumstances of the
                                             do to produce a safe product. Rather, the               conducted annual survey of RTE                         positive test. If an establishment made
                                             IVT provides the information on which                   establishments.                                        such a finding in the course of testing
                                             an establishment may base its own                          On the results that were available in               that was part of its HACCP verification
                                             decisions on the most effective control                 2004, when the FSIS assessment team                    procedures, the establishment would
                                             measures to take.                                       prepared its report, the commenter                     follow the corrective actions procedures
                                                Comment: While conceding that IVT                    questioned why FSIS had found no                       in its HACCP plan. If the establishment
                                             may be appropriate in some                              difference among the prevalence levels                 determined that a change affecting the
                                             circumstances, such as multiple Lm                      of Lm in randomly sampled RTE foods                    validity of the hazard analysis had
                                             positives on product or food-contact                    (3 of 345 or 0.9%) and in RTE foods for                occurred, the establishment would
                                             surfaces, a few commenters strongly                     which sampling was targeted (11 of                     reassess its HACCP plan. On the other
                                             opposed the assessment team’s                           1,349 or 0.8%). (The results are                       hand, an Lm-positive test on an official
                                             recommendation that an IVT be                           presented in the ‘‘Agency                              FSIS RTE product sample might
rmajette on DSK2TPTVN1PROD with RULES




                                             performed for multiple contact or                       Accomplishments’’ section of the                       indicate that the establishment’s HACCP
                                             product positives for Listeria spp. or                  assessment team’s report.) The                         system had failed to prevent the
                                             Listeria-like organisms. The commenters                 commenter recommended the                              production of adulterated food. In that
                                             also urged the Agency not to penalize                   reevaluation of establishment HACCP                    case, under the HACCP regulations,
                                             establishments for trying to actively                   plans and Sanitation SOPs and other                    FSIS would have grounds for finding
                                             detect and eliminate potential harborage                prerequisite programs in the event of an               the establishment’s HACCP system to be


                                        VerDate Sep<11>2014   15:11 Jun 18, 2015   Jkt 235001   PO 00000   Frm 00007   Fmt 4700   Sfmt 4700   E:\FR\FM\19JNR1.SGM   19JNR1


                                             35184                Federal Register / Vol. 80, No. 118 / Friday, June 19, 2015 / Rules and Regulations

                                             inadequate. In addition, if the                         obligation to conduct such testing at any              establishment is required to make them
                                             establishment failed to take appropriate                particular frequency, even if they                     available (9 CFR 430.4(e)) so that FSIS
                                             corrective action, as required by 9 CFR                 produce high-risk products such as deli                personnel can complete the required
                                             417.3, FSIS would have further grounds                  meats and hot dogs. The commenter                      verifications. From the verification
                                             for finding the establishment’s HACCP                   argued that, without mandatory                         results FSIS can know whether there is
                                             system to be inadequate.                                minimum testing frequencies,                           a sanitation problem at the
                                                In the Compliance Guideline, FSIS                    establishments simply cannot be                        establishment, whether antimicrobial
                                             has listed and explained the elements of                assured that their controls are working                interventions are working properly,
                                             adequate validation for post-lethality                  effectively every day to control Listeria.             whether a corrective action was
                                             treatments and growth-suppressing or                       Response: After reviewing comments                  appropriately taken to address a non-
                                             limiting formulations or processes.                     on the 2001 proposed rule (66 FR                       recurring problem, or whether there is
                                                Comment: One commenter noted that                    12589) and the results of the FDA/FSIS                 mounting evidence of a persistent
                                             the rule did not have a uniform                         risk ranking and the FSIS risk                         problem that must be corrected.
                                             recordkeeping requirement for the                       assessment, FSIS concluded that a                         Changing the regulations to require
                                             results of environmental sampling.                      mandatory testing frequency was not                    immediate notification of FSIS when a
                                             Sanitation SOP records are required to                  well-founded. The FDA/FSIS risk                        positive test is obtained would not affect
                                             be kept for only six months, HACCP                      ranking and FSIS risk assessment                       what either the establishment or FSIS is
                                             records from one to two years. The                      showed that post-lethality interventions               required to do with respect to product
                                             commenter requested that FSIS explain                   and formulation of RTE meat and                        safety in response to the positive test
                                             that an effective environmental                         poultry products with growth inhibitors                result. Therefore, FSIS is not proposing
                                             sampling program must provide for                       was much more effective in preventing                  to change the regulations in this respect.
                                             long-term trend analysis.                               listeriosis than testing product or food
                                                Response: Records that are generated                                                                        Compliance Guidance
                                                                                                     contact surfaces. Therefore, FSIS is not
                                             under the Lm control regulations may be                 making changes to the regulations to                      Comment: A few commenters stated
                                             Sanitation SOP records, HACCP records,                  require a minimum testing frequency for                that the Agency should periodically
                                             or other prerequisite program                           establishments.                                        update the Compliance Guideline. Also,
                                             documentation and records. As the                          Nevertheless, the Agency regards                    commenters stated that the Agency
                                             commenter points out, retention                         establishment verification testing of the              should make available to the industry
                                             requirements apply to Sanitation SOP                    processing environment and especially                  guidance on acceptable procedures for
                                             records and HACCP records.                              of food-contact surfaces to be important               evaluating the effectiveness of new post-
                                             Prerequisite program documentation                      in monitoring the sanitary conditions                  lethality treatments and antimicrobial
                                             and records of activities conducted                     under which post-lethality exposed RTE                 agents or processes.
                                             under the Lm control regulations affect                 products are processed. Establishments                    Response: FSIS has updated the
                                             hazard analysis decisions and are                       that produce RTE products and that rely                Compliance Guideline four times since
                                             required to be maintained for at least                  on sanitation procedures alone to                      the interim final rule published. The
                                             two years under 9 CFR 417.5 because                     control Lm (Alternative 3) should carry                first update in October 2004 responded
                                             they are documents used to inform                       out effective verification procedures,                 to comments and questions that FSIS
                                             decisions in the establishment’s hazard                 including food-contact surface testing,                received about the rule and addressed
                                             analysis.                                               to ensure that their controls are                      questions that participants asked during
                                                FSIS agrees that it is important that an             effective, and that the products are not               the workshops that the Agency held in
                                             establishment analyze trends in                         contaminated. Such is the Agency’s                     preparation for the implementation of
                                             product, food-contact surface, and                      regard for the value of food-contact                   the interim final rule. The second
                                             environmental test results. In the                      surface testing that the Agency has                    update in May 2006 included new
                                             Compliance Guideline, FSIS advises                      incorporated food-contact surface                      information on FSIS’s risk-based
                                             establishments to keep monitoring                       testing into its RLm sampling program                  sampling algorithm and acceptable
                                             records, including test results, for use in             that it is carrying out in RTE                         procedures for evaluating the
                                             evaluating their Sanitation SOPs. The                   establishments.                                        effectiveness of new post-lethality
                                             monitoring records should be designed                      Comment: One commenter stated that,                 treatments and antimicrobial agents or
                                             to show trends in the development of                    even though the rule required                          processes. The third update in
                                             insanitary conditions. Establishments                   establishments to make their own                       September 2012 provided updated
                                             should review at least the previous                     testing results available to FSIS                      technical information on the control
                                             month’s testing results to determine                    inspection personnel upon request,                     alternatives and on how establishments
                                             whether a trend is emerging, or whether                 nothing in the interim final rule                      could take corrective actions in
                                             it is necessary to revise their sampling                imposed on establishments an                           response to positive results and new
                                             plans. Persistent problems may indicate                 affirmative obligation to disclose test                information on developing a listeria
                                             the pathogen’s presence in niches in the                results, particularly positive results, to             control program. The fourth update in
                                             processing environment. FSIS also                       FSIS at the time the results are                       January 2014 responded to comments
                                             advises establishments to adjust their                  obtained. The commenter argued that,                   and questions that FSIS received in
                                             testing frequencies on the basis of data                without immediate access to these data                 response to the previous version. FSIS
                                             that they have collected over time. FSIS                when a problem is first identified,                    will continue to update the Compliance
                                             is not, however, proposing to change its                inspection personnel may be unaware                    Guideline as necessary.
                                             record retention requirements because                   that there is a sanitation problem at a
                                                                                                                                                            Labeling; Consumer Education
rmajette on DSK2TPTVN1PROD with RULES




                                             the Agency believes that the                            facility, that interventions are not
                                             requirements are adequate.                              working properly, or that those                           Comment: One commenter stated that
                                                Comment: One commenter stated that                   problems may be persistent and                         the labeling claims about treatments that
                                             while the interim final rule required                   uncorrected.                                           eliminate, suppress, or limit the growth
                                             establishments to verify the                               Response: As the comment                            of Lm could be misleading. The
                                             effectiveness of their Listeria control                 acknowledges, when FSIS personnel                      commenter argued that allowing
                                             program through testing, they have no                   request testing records, the                           companies to provide information about


                                        VerDate Sep<11>2014   15:11 Jun 18, 2015   Jkt 235001   PO 00000   Frm 00008   Fmt 4700   Sfmt 4700   E:\FR\FM\19JNR1.SGM   19JNR1


                                                                  Federal Register / Vol. 80, No. 118 / Friday, June 19, 2015 / Rules and Regulations                                         35185

                                             technologies, without also including                    may actually drive some consumers                         To help minimize the public health
                                             safe handling instructions, may create                  away from the product category.                        burden of listeriosis, FSIS and the FDA
                                             further potential to mislead consumers,                   Response: FSIS understands the                       conducted an interagency risk
                                             including susceptible groups, into a                    challenge of providing consumers with                  assessment to better understand the risk
                                             false sense of safety and lead to                       useful and important food safety                       of foodborne illness associated with
                                             improper handling.                                      information on product labels. That is                 eating certain RTE foods prepared in
                                                Response: Safe handling instructions                 why the Agency is not requiring                        retail delis and developed
                                             are required if the meat or poultry                     labeling statements about Lm controls                  recommendations for changes in current
                                             component of a product is raw or                        but only permitting and encouraging                    practices that may improve the safety of
                                             partially cooked (i.e., not considered                  their use.                                             those products. In 2013, FSIS and FDA
                                             RTE), and if the product is destined for                Retail                                                 made their findings available to the
                                             household consumers or institutional                                                                           public in the ‘‘Interagency Risk
                                             users (9 CFR 317.2(1) or 381.125(b)). All                  Comment: A few commenters stated                    Assessment—Listeria monocytogenes in
                                             food products, including shelf-stable                   that FSIS should conduct research to                   Retail Delicatessens’’ (Interagency Retail
                                                                                                     determine the magnitude of retail-level                Lm Risk Assessment), which is available
                                             RTE products, must be handled with
                                                                                                     contamination. A few commenters                        on FSIS’s Web site at http://
                                             appropriate care to prevent product
                                                                                                     agreed with the assessment team finding                www.fsis.usda.gov/wps/portal/fsis/
                                             adulteration. Findings of a survey
                                                                                                     that efforts to control Lm contamination               topics/science/risk-assessments.
                                             conducted by the International Food
                                                                                                     at retail are warranted. The commenters                   The agencies conducted the risk
                                             Information Council (IFIC), which is
                                                                                                     stated that, in addition to training, there            assessment to better understand how
                                             described in more detail in the response
                                                                                                     must be measurement, monitoring, and                   retail practices (e.g., temperature
                                             to the next comment, do indicate that
                                                                                                     enforcement of best practices at retail.               control, sanitation, worker behavior)
                                             label statements about processing for
                                                                                                     The commenters agreed with the                         influence the risk of listeriosis
                                             improved product safety may cause
                                                                                                     assessment team’s finding that                         associated with eating meat, cheeses,
                                             some consumers to feel safe about eating                regulatory strategies aimed at FSIS-
                                             product after a ‘‘use-by’’ date. This                                                                          and salads sliced or prepared in retail
                                                                                                     inspected establishments may not be                    delicatessens. The risk assessment also
                                             could be a concern if the ‘‘use-by’’ date               effective in reducing retail-level
                                             were a safety-based date.                                                                                      examines how effective various
                                                                                                     contamination. Another commenter                       interventions are in limiting the
                                                FSIS believes, nevertheless, that the                strongly agreed with the assessment                    survival, growth, or cross contamination
                                             processed-for-safety statements can be                  team’s recommendation to educate and                   of Lm.
                                             made if they are adequately supported.                  train retail and food service personnel                   The risk assessment is based on
                                             Also, as the Agency’s own assessment                    but noted that this matter is usually                  observations of deli employees’ work
                                             team has recommended, the Agency                        outside USDA/FSIS jurisdiction.                        routines; concentrations of Lm on
                                             should give industry flexibility to                        One commenter stated that additional                incoming products and in the deli
                                             develop labeling statements that are                    training for retail staff is appropriate for           environment; studies on the ability of
                                             truthful and not misleading. FSIS will                  reducing Lm contamination of RTE                       Lm to spread in retail delis, such as
                                             review and approve labels that bear                     products at that level. The commenter                  from a slicer to food; and an existing
                                             such statements before they are used, as                also recommended the use of                            dose-response model. The study was
                                             it approves all labels that make special                antimicrobial agents in products sold at               designed to apply to a range of deli
                                             claims. The Agency also will ensure that                retail. The commenter recommended                      establishments, from small independent
                                             its food safety education materials for                 that FSIS investigate the practicality of              operations to the deli departments in
                                             consumers include information about                     freezing or other practices during                     large supermarkets.
                                             the labels and about Lm.                                transport of RTE products. In addition,                   FSIS agrees that care should be taken
                                                Comment: IFIC submitted the results                  the commenter stated that the FSIS Lm                  in storage, handling, and distribution of
                                             of a study that it conducted in                         control strategy should focus on                       RTE meat and poultry products, and
                                             collaboration with FSIS. In the study,                  preventing cross-contamination at the                  that strict temperature controls are
                                             IFIC tested several different                           deli counter.                                          important in preventing the outgrowth
                                             informational statements to determine                      Response: State and local                           of any Lm that may be present in
                                             the impact such labeling has on                         governments have chief responsibility                  products. Using the key findings of the
                                             consumer perceptions of food safety.                    for the administration of inspections                  Interagency Retail Lm Risk Assessment
                                             The IFIC survey found that, while food-                 and regulation of retail facilities on a               along with available scientific
                                             safety information can assist consumers                 regular basis. Although FSIS does not                  knowledge, the FDA Food Code, and
                                             in the purchase, preparation, and                       inspect retail establishments, it may                  lessons learned from controlling Lm in
                                             handling of foods, the food-safety                      visit them to ensure that the meat,                    FSIS-inspected meat and poultry
                                             labeling messages that were tested may                  poultry, and egg products that they sell               processing establishments, FSIS
                                             not achieve this goal. None of the                      remain safe for human consumption and                  developed the ‘‘FSIS Best Practices
                                             statements tested performed better than                 are not adulterated or misbranded.                     Guidance for Controlling Listeria
                                             control product labeling. Only a very                      FSIS provides information, materials,               monocytogenes (Lm) in Retail
                                             small segment of the population of                      and assistance to help State and local                 Delicatessens,’’ which provides
                                             consumers in the study felt that                        agencies to achieve food safety goals                  practical recommendations that retailers
                                             enhanced food safety was an important                   and conducts outreach programs that                    can use to control Lm contamination
                                             reason to purchase a product. Most                      are aimed at retail and food service                   and outgrowth in the deli. The best-
                                             statements did not enhance consumer                     personnel. FSIS also participates with                 practices guidance is available at
rmajette on DSK2TPTVN1PROD with RULES




                                             perceptions of food safety, although the                FDA in the development of the Food                     http://www.fsis.usda.gov/wps/wcm/
                                             statements were likely to make                          Code model ordinance. The Food Code                    connect/29d51258-0651-469b-99b8-
                                             consumers feel safe eating product after                sets forth model standards that State                  e986baee8a54/Controlling-LM-
                                             the ‘‘use by’’ date. Also, the results                  and local public health authorities may                Delicatessens.pdf?MOD=AJPERES. FSIS
                                             appeared to indicate that use of labels                 adopt in their own regulatory programs                 encourages retailers to use the best-
                                             with certain food safety information                    for the retail sector.                                 practices guidance to help ensure that


                                        VerDate Sep<11>2014   15:11 Jun 18, 2015   Jkt 235001   PO 00000   Frm 00009   Fmt 4700   Sfmt 4700   E:\FR\FM\19JNR1.SGM   19JNR1


                                             35186                Federal Register / Vol. 80, No. 118 / Friday, June 19, 2015 / Rules and Regulations

                                             RTE meat and poultry products in the                    that the model is adequate to inform                   the costs and overestimated the benefits
                                             deli area are handled under sanitary                    decision-making based on the specific                  of the interim final rule.
                                             conditions and are not adulterated.                     risk management questions posed by                        One commenter that responded to the
                                                                                                     FSIS risk managers. A more detailed                    OMB request asserted that the economic
                                             Risk Assessment                                                                                                analysis of the interim final rule
                                                                                                     model would require additional data.
                                                Comment: One commenter noted that                    The Agency noted in the final version                  understated the costs to small
                                             the draft of the second risk assessment,                of the risk assessment that the data                   businesses, particularly to small and
                                             initiated in early 2001, was not                        available in the published literature on               very small processing plants, and
                                             completed until February 2003—two                       Listeria in the processing plant                       overstated the benefits of the rule. The
                                             years after publication of the proposed                 environment are limited. In addition to                commenter noted that FSIS estimated
                                             rule, which addressed control of Lm.                    data limitations, the limited time                     the annual cost of the rule to the
                                             The commenter stated that the Agency                    available and the intended use of the                  industry in the range of $16.6 million,
                                             limited the new assessment to deli                      model dictated other restrictions on the               and that benefits were in the range of
                                             meats only (ignoring hot dogs and other                 scope of the assessment. While the risk                $44 million to $154 million. However,
                                             high-risk meat and poultry products)                    model addressed only food-contact                      the commenter estimated that the actual
                                             and did not include sampling of non-                    surfaces as the source of contamination                costs were closer to $115 million per
                                             food contact surfaces in the risk model.                by Lm, the Agency’s risk assessors                     year. The commenter charged that for
                                             The commenter also stated that the risk                 acknowledged that Lm contamination                     each of the ‘‘10,000 plants’’ (sic) that are
                                             assessment excluded consideration of                    could arise from inadequate lethality                  subject to the rule, the true costs are
                                             whether the risk would be reduced if, in                treatment or from cross-contamination                  closer to $11,500 per year and over
                                             addition to other steps, final product                  from non-food contact surfaces. The risk               $1.15 billion over ten years. According
                                             testing was required. The final version                 assessment also made simplifying                       to the commenter, the costs reflect the
                                             of FSIS’s risk assessment,3 released in                 technical assumptions, such as those                   purchase of new equipment,
                                             May 2003, found that the minimal                        regarding a generic food-contact surface,              reconfiguration of plant facilities,
                                             testing frequency in the proposed                       the distribution of Listeria on the                    accumulated interest of $50,000 per
                                             Listeria rule would result in a small                   surface, and the assumption of a generic               plant, and estimated annual costs of
                                             reduction in Listeria levels, and that a                product lot.                                           $6,500 for testing to ensure compliance
                                             combination of interventions (sanitation                                                                       and for consultants. The grand total
                                                                                                        The comment that the model
                                             and testing of food-contact surfaces,                                                                          then would be $115,000 per plant.
                                                                                                     excluded the effect of product testing,
                                             lethality interventions, and growth                                                                               The commenter asserted that the rule
                                                                                                     however, is not accurate. The in-plant
                                             inhibitors) appeared to be more effective                                                                      puts American firms at a competitive
                                             than any single intervention.                           model incorporated, in addition to food-
                                                                                                                                                            disadvantage with foreign firms, and
                                                Response: The focus of the risk                      contact surface testing, product testing
                                                                                                                                                            that the burden of the rule is so great
                                             assessment was narrowed on the basis                    and pre- and post-packaging                            that some small and very small plants
                                             of available data. The available data on                interventions and the effect of growth                 may cease operations.
                                             hotdogs was not sufficient to be                        inhibitors (or product reformulation).                    The commenter did not present an
                                             included in a plant-to-table risk                       The risk assessment describes the role of              alternative benefit estimate in dollar
                                             assessment. Moreover, deli meat was                     product testing in the model and                       terms but asserted that FSIS based its
                                             believed to be the vehicle in most                      discusses the probability of detecting                 estimates on data that the Centers for
                                             listeriosis cases. From the 2003 FDA–                   Lm in product samples and the                          Disease Control and Prevention (CDC)
                                             FSIS Quantitative Assessment of the                     contribution of information from such                  gathered through 1997, while CDC data
                                             Risk of Listeriosis due to Selected Food                testing to the development of risk                     for 1996 to 2000 show a 38 percent
                                             Categories (FDA, 2003), the median                      reduction measures.                                    decrease in incidence of, and mortality
                                             number of cases of listeriosis per annum                   FSIS is affirming the 2003 risk                     from, Lm. Also the commenter asserted
                                             from deli meats was estimated to be                     assessment without updates or changes.                 on the basis of the Q&A provided with
                                             1598.7. For frankfurters (reheated and                  Economic Impact; Effect on Small                       the 2003 FDA/FSIS joint risk assessment
                                             not reheated combined) the number of                    Establishments; Regulatory Reform                      that FSIS used for the interim final rule
                                             cases was estimated to be less than 31.                                                                        that it is likely that the annual total
                                             For pâté and meat spreads, the                           Comment: One commenter disagreed                    cases were less than 1,500, with 300
                                             estimated number of illnesses was less                  with the assessment team’s finding that                deaths.
                                             than 4, and for dry/semi-dry fermented                  the interim final rule was not                            Another commenter recommended
                                             sausages, the estimated number of                       disproportionately affecting small                     that FSIS review the compliance costs of
                                             illness was less than 0.1. Clearly, this                establishments because the number of                   the rule and increase the calculation of
                                             document pointed to deli meats as the                   noncompliance records (NRs) that FSIS                  those costs to a more reasonable figure.
                                             high-risk food category in 2003.                        issued related to this rule to very small                 Response: The commenters misstated
                                                While FSIS is aware of the limitations               plants was twice that for large plants.                the regulatory impact analysis of the
                                             of its model, the Agency has concluded                  Similarly, the commenter stated that                   interim final rule on key points. For
                                                                                                     FSIS issued more NRs to small plants                   example, rather than 10,000 plants, as
                                                3 FSIS, FSIS Risk Assessment for Listeria
                                                                                                     than large. Another commenter stated                   one commenter stated, the rule was
                                             Monocytogenes in Deli Meats (May 2003) available        that the assessment team’s finding that
                                             at http://www.fsis.usda.gov/OPPDE/rdad/FRPubs/                                                                 estimated to affect 2,930 total Federal
                                             97-013F/ListeriaReport.pdf. A final version of the      FSIS issued most NRs to very small                     establishments. In actual fact, the rule
                                             Joint FDA/FSIS risk assessment was released in          establishments evidences the need for a                affected 2,473 Federal establishments in
                                             September 2003. It included a number of revisions       much stronger effort at compliance
rmajette on DSK2TPTVN1PROD with RULES




                                                                                                                                                            2006 and 2,307 Federal establishments
                                             to and refinements of the draft assessment, but still
                                             classified both deli meats and unheated frankfurters
                                                                                                     assistance to the small processor.                     in 2013. Thus, the comment, on that
                                             as ‘‘Very High Risk.’’ See FSIS/FDA, Quantitative          A few comments that were submitted                  basis alone, increased the arguable costs
                                             Assessment of the Relative Risk to Public Health        in response to OMB’s February 2004                     of the rule.
                                             from Foodborne Listeria Monocytogenes Among             solicitation of nominations for                           The comment stated that the costs of
                                             Selected Categories of Ready-to-Eat Foods (Sept.
                                             2003) available at http://www.fda.gov/downloads/        regulatory reform (69 FR 7987) argued                  new equipment, plant reconfiguration,
                                             Food/FoodScienceResearch/UCM197330.pdf.                 that the Agency greatly underestimated                 testing, and outside expert technical


                                        VerDate Sep<11>2014   15:11 Jun 18, 2015   Jkt 235001   PO 00000   Frm 00010   Fmt 4700   Sfmt 4700   E:\FR\FM\19JNR1.SGM   19JNR1


                                                                  Federal Register / Vol. 80, No. 118 / Friday, June 19, 2015 / Rules and Regulations                                          35187

                                             assistance are a substantial burden on                  the number of illnesses based on the                     Paperwork Reduction Act
                                             small plants that the Agency ignored in                 dose-response relationship from the                        There are no paperwork or
                                             its analysis. However, the interim final                FDA/FSIS exposure retail-to-table                        recordkeeping requirements associated
                                             rule did not require these plants to                    model where all models were calibrated                   with this rule under the Paperwork
                                             upgrade their operations. For this                      for deli meat.5                                          Reduction Act of 1995 (44 U.S.C. 3501–
                                             reason, such costs are not a direct effect                 For these reasons, FSIS is affirming                  3520).
                                             of the rule. The regulatory impact                      the basic conclusions reached by the
                                             analysis estimated that the vast majority               Final Regulatory Impact Analysis that                    E-Government Act
                                             of very small plants, such as the one                   was submitted in support of the interim                    FSIS and USDA are committed to
                                             submitting the comment, would use                       final rule.                                              achieving the purposes of the E-
                                             Alternative-3 type controls (sanitation                 Executive Orders 12866 and 13563, and                    Government Act (44 U.S.C. 3601, et
                                             only) to control Lm instead of changing                 the Regulatory Flexibility Act                           seq.) by, among other things, promoting
                                             from Alternative 3 to Alternative 2 or 1.                                                                        the use of the Internet and other
                                             Costs for Alternative 3 are minimal                        Executive Orders 12866 and 13563                      information technologies and providing
                                             because it only requires an                             direct agencies to assess all costs and                  increased opportunities for citizen
                                             establishment to control Lm through its                 benefits of available regulatory                         access to Government information and
                                             sanitation program. An establishment                    alternatives and, if regulation is                       services, and for other purposes.
                                             would not need to purchase new                          necessary, to select regulatory
                                                                                                     approaches that maximize net benefits                    Executive Order 12988
                                             equipment for post-lethality treatment
                                             or apply antimicrobial agents.                          (including potential economic,                             This rule has been reviewed under the
                                             Comparing FSIS PHIS data of calendar                    environmental, public health and safety                  Executive Order 12988, Civil Justice
                                             year (CY) 2013 and the baseline in the                  effects, distributive impacts and equity).               Reform. Under this rule: (1) All State
                                             2003 interim final rule, the Agency                     Executive Order 13563 emphasizes the                     and local laws and regulations that are
                                             found that about 77 percent of the small                importance of quantifying both costs                     inconsistent with this rule will be
                                             and very small establishments that used                 and benefits, of reducing costs, of                      preempted; (2) no retroactive effect will
                                             alternative 3 still use alternative 3.4 The             harmonizing rules, and of promoting                      be given to this rule; and (3) no
                                             percentage increases from the baseline                  flexibility. This rule has been                          administrative proceedings will be
                                             to CY 2013 for small and very small                     designated a ‘‘non-significant’’                         required before parties may file suit in
                                             establishments using Alternative 2b,                    regulatory action under section 3(f) of                  court challenging this rule.
                                             Alternative 2a, and Alternative 1 are 17                Executive Order (E.O.) 12866.
                                                                                                     Accordingly, the rule has not been                       Executive Order 13175
                                             percent, 1 percent and 1.5 percent,
                                             respectively. Therefore, the costs the                  reviewed by the Office of Management                       This rule has been reviewed in
                                             small and very small establishments                     and Budget under E.O. 12866.                             accordance with the requirements of
                                                                                                        FSIS is affirming the basic                           Executive Order 13175, ‘‘Consultation
                                             would incur would mostly be those
                                                                                                     conclusions reached by the Final                         and Coordination with Indian Tribal
                                             attributable to initial and on-going
                                                                                                     Regulatory Impact Analysis that was                      Governments.’’ E.O. 13175 requires
                                             compliance with the sanitation program
                                                                                                     submitted in support of the interim final                Federal agencies to consult and
                                             requirements of the rule.
                                                As to the benefit estimates in the                   rule. The two changes do not affect the                  coordinate with tribes on a government-
                                             economic analysis of the interim final                  basic conclusions reached by the Final                   to-government basis on policies that
                                             rule, these were based on the potential                 Regulatory Impact Analysis that was                      have tribal implications, including
                                             risk reductions to be achieved through                  submitted with the interim final rule.                   regulations, legislative comments or
                                             the adoption by industry of the Listeria                FSIS is making two changes in this                       proposed legislation, and other policy
                                             control alternatives set out in 9 CFR                   document, making clear in the                            statements or actions that have
                                             430.4. While the comment stated that                    regulation that products that have been                  substantial direct effects on one or more
                                             the CDC data for 1996 to 2000 show a                    in contact with a Lm contaminated                        Indian tribes, on the relationship
                                             38 percent decrease in incidence of, and                surface would be adulterated if not                      between the Federal Government and
                                             mortality from, Lm, the comment did                     reprocessed (9 CFR 430.4(a)) and                         Indian tribes or on the distribution of
                                             not take into account an ‘‘up spike’’ in                removing the requirement for                             power and responsibilities between the
                                             listeriosis illness that occurred in 2002–              establishments to report production                      Federal Government and Indian tribes.
                                                                                                     volume and related information to FSIS                     FSIS has assessed the impact of this
                                             2003 before the rule went into effect.
                                                                                                     because the Agency now routinely                         rule on Indian tribes and determined
                                             Thus, when the rule was promulgated,
                                                                                                     collects this information through PHIS                   that this rule does not, to our
                                             there were a significantly higher number
                                                                                                     (9 CFR 430.4(d)). Neither change will                    knowledge, have tribal implications that
                                             of illnesses to be averted than the
                                                                                                     cause establishments to change their                     require tribal consultation under E.O.
                                             comment considered. Finally, the
                                                                                                     practices to comply with the regulation.                 13175. If a Tribe requests consultation,
                                             benefit estimates in the interim final
                                                                                                     Therefore, there is no need to conduct                   the Food Safety and Inspection Service
                                             rule were based on the differences in the
                                                                                                     a cost or benefit analysis to affirm the                 will work with the Office of Tribal
                                             number of illnesses in the risk
                                                                                                     interim final rule.                                      Relations to ensure meaningful
                                             assessment model results under
                                                                                                                                                              consultation is provided where changes,
                                             different scenarios. The risk assessment                Regulatory Flexibility Act Assessment
                                                                                                                                                              additions and modifications identified
                                             model estimated the number of illnesses                   The FSIS Administrator certifies that,                 herein are not expressly mandated by
                                             using FSIS simulation models that                       for the purposes of the Regulatory                       Congress.
                                             assess how the in-plant contamination
rmajette on DSK2TPTVN1PROD with RULES




                                                                                                     Flexibility Act (5 U.S.C. 601–602), the
                                             level transfers to the retail                           rule will not have a significant                         USDA Nondiscrimination Statement
                                             contamination level and then assessed                   economic impact on a substantial                           No agency, officer, or employee of the
                                               4 Note that the composition, and the relative
                                                                                                     number of small entities in the United                   USDA shall, on the grounds of race,
                                             statistics of the RTE establishments subject to this    States.                                                  color, national origin, religion, sex,
                                             rule changed somewhat between 2003 and 2013, So                                                                  gender identity, sexual orientation,
                                             the comparisons are approximate, not exact.               5 For   details of these models, see footnote 3.       disability, age, marital status, family/


                                        VerDate Sep<11>2014   15:11 Jun 18, 2015   Jkt 235001   PO 00000   Frm 00011    Fmt 4700    Sfmt 4700   E:\FR\FM\19JNR1.SGM   19JNR1


                                             35188                Federal Register / Vol. 80, No. 118 / Friday, June 19, 2015 / Rules and Regulations

                                             parental status, income derived from a                  interim final rule that amended Title 9,               positive test for an indicator organism,
                                             public assistance program, or political                 Chapter III, of the Code of Federal                    the establishment must hold lots of
                                             beliefs, exclude from participation in,                 Regulations and that was published at                  product that may have become
                                             deny the benefits of, or subject to                     68 FR 34208 on June 6, 2003, with the                  contaminated by contact with the food
                                             discrimination any person in the United                 following amendments:                                  contact surface until the establishment
                                             States under any program or activity                                                                           corrects the problem indicated by the
                                             conducted by the USDA.                                  PART 430—REQUIREMENTS FOR                              test result.
                                                To file a complaint of discrimination,               SPECIFIC CLASSES OF PRODUCT                               (C) In order to release into commerce
                                             complete the USDA Program                                                                                      product held under this section, the
                                             Discrimination Complaint Form, which                    ■ 1. The authority citation for part 430               establishment must sample and test the
                                             may be accessed online at http://                       continues to read as follows:                          lots for L. monocytogenes or an
                                             www.ocio.usda.gov/sites/default/files/                    Authority: 7 U.S.C. 450; 7 U.S.C. 1901–              indicator organism using a sampling
                                             docs/2012/Complain_combined_6_8_                        1906; 21 U.S.C. 451–470, 601–695; 7 CFR                method and frequency that will provide
                                             12.pdf, or write a letter signed by you                 2.18, 2.53.                                            a level of statistical confidence that
                                             or your authorized representative.                      ■ 2. Amend § 430.4 by:                                 ensures that each lot is not adulterated
                                                Send your completed complaint form                   ■ a. Revising paragraph (a).                           with L. monocytogenes. The
                                             or letter to USDA by mail, fax, or email:               ■ b. Revising paragraph (b)(2)(iii)(B).                establishment must document the
                                                Mail: U.S. Department of Agriculture,                ■ c. Revising paragraph (b)(3)(i)(B).                  results of this testing. Alternatively, the
                                             Director, Office of Adjudication, 1400                  ■ d. Revising paragraphs (b)(3)(ii)(B)                 establishment may rework the held
                                             Independence Avenue SW.,                                and (C).                                               product using a process that is
                                             Washington, DC 20250–9410.                              ■ e. Removing and reserving paragraph                  destructive of L. monocytogenes or the
                                                Fax: (202)690–7442.                                  (d).                                                   indicator organism.
                                                Email program.intake@usda.gov.                         The revisions read as follows:
                                                Persons with disabilities who require                                                                       *      *     *     *     *
                                             alternative means for communication                     § 430.4 Control of Listeria monocytogenes              Done, at Washington, DC: May 29, 2015.
                                             (Braille, large print, audiotape, etc.)                 in post-lethality exposed ready-to-eat                 Alfred V. Almanza,
                                                                                                     products.
                                             should contact USDA’s TARGET Center                                                                            Acting Administrator.
                                             at (202)720–2600 (voice and TDD).                          (a) Listeria monocytogenes can
                                                                                                                                                            [FR Doc. 2015–13507 Filed 6–18–15; 8:45 am]
                                                                                                     contaminate RTE products that are
                                             Additional Public Notification                          exposed to the environment after they                  BILLING CODE 3410–DM–P

                                                Public awareness of all segments of                  have undergone a lethality treatment. L.
                                             rulemaking and policy development is                    monocytogenes is a hazard that an
                                             important. Consequently, FSIS will                      establishment producing post-lethality                 FEDERAL HOUSING FINANCE
                                             announce this Federal Register                          exposed RTE products must control                      AGENCY
                                             publication on-line through the FSIS                    through its HACCP plan or prevent in
                                                                                                     the processing environment through a                   12 CFR Part 1238
                                             Web page located at: http://
                                             www.fsis.usda.gov/federal-register.                     Sanitation SOP or other prerequisite                   [No. 2015–N–04]
                                                FSIS also will make copies of this                   program. RTE product is adulterated if
                                             publication available through the FSIS                  it contains L. monocytogenes, or if it                 Orders: Reporting by Regulated
                                             Constituent Update, which is used to                    comes into direct contact with a food                  Entities of Stress Testing Results as of
                                             provide information regarding FSIS                      contact surface that is contaminated                   September 30, 2014
                                             policies, procedures, regulations,                      with L. monocytogenes. Establishments                  AGENCY: Federal Housing Finance
                                             Federal Register notices, FSIS public                   must not release into commerce product                 Agency.
                                             meetings, and other types of information                that contains L. monocytogenes or that
                                                                                                                                                            ACTION: Orders.
                                             that could affect or would be of interest               has been in contact with a food contact
                                             to our constituents and stakeholders.                   surface contaminated with L.                           SUMMARY:  In this document, the Federal
                                             The Update is available on the FSIS                     monocytogenes without first reworking                  Housing Finance Agency (FHFA)
                                             Web page. Through the Web page, FSIS                    the product using a process that is                    provides notice that it issued Orders
                                             is able to provide information to a much                destructive of L. monocytogenes.                       dated June 10, 2015, with respect to
                                             broader, more diverse audience. In                         (b) * * *                                           reporting under section 165(i)(2) of the
                                             addition, FSIS offers an email                             (2) * * *
                                                                                                                                                            Dodd-Frank Wall Street Reform and
                                             subscription service which provides                        (iii) * * *
                                                                                                                                                            Consumer Protection Act (Dodd-Frank
                                             automatic and customized access to                         (B) Identify the conditions under
                                                                                                                                                            Act).
                                             selected food safety news and                           which the establishment will implement
                                             information. This service is available at:              hold-and-test procedures following a                   DATES: Effective June 19, 2015. Each
                                             http://www.fsis.usda.gov/subscribe.                     positive test of a food-contact surface for            Order is applicable beginning June 10,
                                             Options range from recalls to export                    an indicator organism;                                 2015.
                                             information, regulations, directives, and               *       *    *    *     *                              FOR FURTHER INFORMATION CONTACT: Naa
                                             notices. Customers can add or delete                       (3) * * *                                           Awaa Tagoe, Senior Associate Director,
                                             subscriptions themselves, and have the                     (i) * * *                                           Office of Financial Analysis, Modeling
                                             option to password protect their                           (B) Identify the conditions under                   and Simulations, (202) 649–3140,
                                             accounts.                                               which the establishment will implement                 naaawaa.tagoe@fhfa.gov; Stefan
                                                                                                     hold-and-test procedures following a                   Szilagyi, Examination Manager,
rmajette on DSK2TPTVN1PROD with RULES




                                             List of Subjects in 9 CFR Part 430                      positive test of a food-contact surface for            FHLBank Modeling, FHLBank Risk
                                               Food labeling, Meat inspection,                       an indicator organism;                                 Modeling Branch, (202) 649–3515,
                                             Poultry and poultry products                            *       *    *    *     *                              Stefan.szilagy@fhfa.gov; or Mark D.
                                             inspection.                                                (ii) * * *                                          Laponsky, Deputy General Counsel,
                                               For the reasons set forth in the                         (B) During this follow-up testing, if               Office of General Counsel, (202) 649–
                                             preamble, FSIS is adopting as final the                 the establishment obtains a second                     3054 (these are not toll-free numbers),


                                        VerDate Sep<11>2014   15:11 Jun 18, 2015   Jkt 235001   PO 00000   Frm 00012   Fmt 4700   Sfmt 4700   E:\FR\FM\19JNR1.SGM   19JNR1



Document Created: 2018-02-22 11:10:24
Document Modified: 2018-02-22 11:10:24
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionAffirmation of the interim final rule with amendments; request for comments.
DatesEffective September 17, 2015. Comments must be received on or before August 18, 2015.
ContactDr. Daniel L. Engeljohn, Assistant Administrator, Office of Policy and Program Development; Telephone: (202) 205-0495.
FR Citation80 FR 35178 
RIN Number0583-AD53
CFR AssociatedFood Labeling; Meat Inspection and Poultry and Poultry Products Inspection

2025 Federal Register | Disclaimer | Privacy Policy
USC | CFR | eCFR