80_FR_79475 80 FR 79231 - Records To Be Kept by Official Establishments and Retail Stores That Grind Raw Beef Products

80 FR 79231 - Records To Be Kept by Official Establishments and Retail Stores That Grind Raw Beef Products

DEPARTMENT OF AGRICULTURE
Food Safety and Inspection Service

Federal Register Volume 80, Issue 244 (December 21, 2015)

Page Range79231-79250
FR Document2015-31795

The Food Safety and Inspection Service (FSIS) is amending its recordkeeping regulations to require that all official establishments and retail stores that grind raw beef products for sale in commerce maintain the following records: The establishment numbers of establishments supplying material used to prepare each lot of raw ground beef product; all supplier lot numbers and production dates; the names of the supplied materials, including beef components and any materials carried over from one production lot to the next; the date and time each lot of raw ground beef product is produced; and the date and time when grinding equipment and other related food-contact surfaces are cleaned and sanitized. These requirements also apply to raw beef products that are ground at an individual customer's request when new source materials are used.

Federal Register, Volume 80 Issue 244 (Monday, December 21, 2015)
[Federal Register Volume 80, Number 244 (Monday, December 21, 2015)]
[Rules and Regulations]
[Pages 79231-79250]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-31795]



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Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / 
Rules and Regulations

[[Page 79231]]



DEPARTMENT OF AGRICULTURE

Food Safety and Inspection Service

9 CFR Part 320

[Docket No. FSIS-2009-0011]
RIN 0583-AD46


Records To Be Kept by Official Establishments and Retail Stores 
That Grind Raw Beef Products

AGENCY: Food Safety and Inspection Service, USDA.

ACTION: Final rule.

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

SUMMARY: The Food Safety and Inspection Service (FSIS) is amending its 
recordkeeping regulations to require that all official establishments 
and retail stores that grind raw beef products for sale in commerce 
maintain the following records: The establishment numbers of 
establishments supplying material used to prepare each lot of raw 
ground beef product; all supplier lot numbers and production dates; the 
names of the supplied materials, including beef components and any 
materials carried over from one production lot to the next; the date 
and time each lot of raw ground beef product is produced; and the date 
and time when grinding equipment and other related food-contact 
surfaces are cleaned and sanitized. These requirements also apply to 
raw beef products that are ground at an individual customer's request 
when new source materials are used.

DATES: Effective June 20, 2016.

FOR FURTHER INFORMATION CONTACT: Dr. Daniel Engeljohn, Assistant 
Administrator, Office of Policy and Program Development, Food Safety 
and Inspection Service, U.S. Department of Agriculture, Washington, DC 
20250; Telephone: (202) 205-0495; Fax (202) 720-2025.

SUPPLEMENTARY INFORMATION:

Executive Summary

    This rule requires official establishments and retail stores that 
grind raw beef for sale in commerce to maintain specific information 
about their grinding activities. This rule is necessary to improve 
FSIS's ability to accurately trace the source of foodborne illness 
outbreaks involving ground beef and to identify the source materials 
that need to be recalled. The recordkeeping requirements in this final 
rule will greatly assist FSIS in doing so.
    FSIS has often been impeded in its efforts to trace ground beef 
products back to a supplier because of the lack of documentation 
identifying all source materials used in their preparation. On July 22, 
2014, FSIS published a proposed rule (79 FR 42464) to require official 
establishments and retail stores to maintain records concerning their 
suppliers and source materials received. Having reviewed and considered 
all comments received in response to the proposed rule, FSIS is 
finalizing the rule and making several changes in response to comments. 
Most of the proposed requirements are retained in this final rule. This 
final rule requires establishments and retail facilities that grind raw 
beef to keep the following records: The establishment numbers of the 
establishments supplying the materials used to prepare each lot of raw 
ground beef; all supplier lot numbers and production dates; the names 
of the supplied materials, including beef components and any materials 
carried over from one production lot to the next; the date and time 
each lot of raw ground beef is produced; and the date and time when 
grinding equipment and other related food-contact surfaces are cleaned 
and sanitized. These requirements also apply when official 
establishments and retail stores grind new source materials at an 
individual customer's request.
    In response to comments, FSIS is not adopting two proposed 
requirements. First, under this final rule, establishments and retail 
stores that grind raw beef products will not have to maintain records 
concerning the weight of each source component used in a lot of ground 
beef. After considering comments, FSIS concluded that weighing each 
component in a lot of ground beef was time-consuming and offered little 
food safety benefit because contamination in a lot of ground beef is 
not dependent on the weight of any contaminated component. FSIS is also 
not requiring that establishments and stores that grind raw beef 
products maintain records of the names, points of contact, and phone 
numbers of each official establishment supplying source material 
because FSIS already has this information in its Public Health 
Information System (PHIS). Any marginal benefit presented by these two 
proposed requirements would be outweighed by the time burden associated 
with recording the information. In response to comments, this rule also 
differs from the proposed rule in terms of the place where the records 
must be maintained and the retention period. Under the proposed rule, 
based on existing recordkeeping requirements (9 CFR 320.1), 
establishments and retail stores would have been allowed to keep the 
required records at a business headquarters location if the grinding 
activity is conducted at multiple locations. In response to comments, 
however, this rule requires the grinding records to be kept at the 
location where the beef is ground. This change in the final rule will 
save investigators valuable time and will reduce the risk that records 
will be lost or misplaced. Finally, in response to comments, for 
purposes of this rule, FSIS is including the definition of a lot as set 
out in the regulatory text at the end of this document (9 CFR 
320.1(b)(4)(iii)).
    Under the proposed rule, based on existing regulations (9 CFR 
320.3(a)), the required grinding records would have been required to be 
maintained for up to three years. However, in response to comments, 
FSIS concluded that because the records required by this rule are 
needed primarily to investigate foodborne illness outbreaks, their 
utility diminishes over time. FSIS consulted with its investigators and 
public health experts and determined that the records would rarely be 
needed after one year. Considering this fact and comments concerning 
the burden of keeping records on-site, particularly at retail stores, 
FSIS shortened the retention period in the final rule to one year after 
the date of the recorded grinding activity.
    The final rule will result in storage and labor costs to official 
establishments and retail stores that grind raw beef for sale in 
commerce. Benefits will accrue

[[Page 79232]]

in terms of averted foodborne illnesses, less costly outbreaks and 
recalls, and increased consumer confidence when purchasing ground beef. 
These costs and benefits are listed in Table 1.

                    Table 1--Executive Summary Table
------------------------------------------------------------------------
 
------------------------------------------------------------------------
Costs:
    Labor............................  [ssquf] $56.6 million annually
                                        ($45.8 million to $67.4
                                        million).
    Storage..........................  [ssquf] $2.7 million annually.
    Unquantified Costs...............  [ssquf] Non-labor costs
                                        associated with recordkeeping
                                        for customer-requested grinds.
                                       [ssquf] Potential for slight
                                        costs to consumers in the form
                                        of ground beef price increases.
Benefits:
    Unquantified Benefits............  [ssquf] Benefits to consumers in
                                        the form of averted foodborne
                                        illnesses as a result of
                                        contaminated ground beef.
                                       [ssquf] Benefits to retailers and
                                        official establishments grinding
                                        raw beef in the form of less
                                        costly food safety events, such
                                        as outbreaks and recalls.
                                       [ssquf] Benefits to official
                                        establishments supplying ground
                                        beef components in the form of
                                        less costly recalls and
                                        insulation from costly spillover
                                        effects during food safety
                                        events.
------------------------------------------------------------------------

Background

    Under the authority of the Federal Meat Inspection Act (FMIA) and 
its implementing regulations (9 CFR 329.1 and 329.6), FSIS investigates 
reports of consumer foodborne illness associated with FSIS-regulated 
products. FSIS investigators and other public health officials use 
records kept at all levels of the food distribution chain, including 
the retail level, to identify the sources of outbreaks.
    FSIS has often been impeded in these efforts when an outbreak 
involves ground beef because of a lack of documentation identifying all 
source materials used in its preparation (79 FR 42464). In some 
situations, official establishments and retail stores have not kept 
adequate records that would allow effective traceback and traceforward 
activities. Without such records, FSIS cannot conduct timely and 
effective consumer foodborne illness investigations and other public 
health activities throughout the stream of commerce.
    As FSIS also explained in the proposed rule, official 
establishments and retail stores that grind raw beef products for sale 
in commerce must keep records that will fully and correctly disclose 
all transactions involved in their business that are subject to the 
FMIA (see 21 U.S.C. 642) (79 FR 42465). Businesses must also provide 
access to, and permit inspection of, these records by FSIS personnel.
    The proposed rule also explained that under 9 CFR 320.1(a), every 
person, firm, or corporation required by 21 U.S.C. 642 to keep records 
must keep records that will fully and correctly disclose all 
transactions involved in the aspects of their business that are subject 
to the FMIA. Records specifically required to be kept under 9 CFR 
320.1(b) include, but are not limited to, bills of sale, invoices, 
bills of lading, and receiving and shipping papers. With respect to 
each transaction, the records must provide the name or description of 
the livestock or article, the number of outside containers, the name 
and address of the buyer or seller of the livestock or animal, and the 
date and method of shipment.
    The recordkeeping requirements contained in the FMIA and 9 CFR part 
320 are intended to permit FSIS to trace product, including raw ground 
beef product associated with consumer foodborne illness, from the 
consumer, or the place where the consumer purchased the product, back 
through its distribution chain to the establishment that was the source 
of the product. Having this information available will make it easier 
to determine where the contamination occurred. Investigators should 
also be able to conduct effective traceforward investigations so as to 
identify other potentially contaminated product that has been shipped 
from the point of origin of its contamination to other official 
establishments, retail stores, warehouses, distributors, restaurants, 
or other firms. FSIS must be able to carry out these investigations 
using records that should be kept routinely by official establishments 
and retail stores.
    In the proposed rule, FSIS explained past efforts it has made to 
ensure that official establishments and retail stores that produce raw 
ground beef maintain necessary records. For example, the proposal 
explained that in 2002, FSIS published a Federal Register notice that 
listed the data that FSIS intended to collect when any samples of raw 
ground beef produced at an official establishment tested positive for 
E. coli O157:H7 (67 FR 62325, Oct. 7, 2002). FSIS also listed the 
information it intended to gather from retail stores at the time it 
collected a sample of raw ground beef for E. coli O157:H7 testing.
    In the proposed rule in the present rulemaking, FSIS explained that 
shortly after issuing the 2002 Federal Register notice, the Agency 
began collecting the information listed in the Federal Register notice 
from official establishments and retail stores (79 FR 42465).\1\ 
However, as the proposal explained, some retail stores and official 
establishments still did not maintain records sufficient for traceback, 
and some retail stores did not document or maintain supplier 
information at times other than when FSIS collected samples of ground 
raw beef product from the stores for E. coli O157:H7 testing.\2\ As a 
result, FSIS was, and remains, disadvantaged in its foodborne disease 
investigations.
---------------------------------------------------------------------------

    \1\ FSIS Notice 47-02, November 20, 2002, ``FSIS Actions 
Concerning Suppliers that may be Associated with Escherichia coli 
(E. coli) 0157:H7 Positive Raw Ground Beef Product.''
    \2\ On June 4, 2012, FSIS implemented routine verification 
testing for six Shiga toxin-producing E. coli (STEC), in addition to 
E. coli O157:H7, in raw beef manufacturing trimmings. See Shiga 
Toxin-Producing Escherichia coli in Certain Raw Beef Products (77 FR 
31975, May 31, 2012).
---------------------------------------------------------------------------

    In 2009, FSIS provided guidance to a retail industry association, 
which was made available on the FSIS Web site, stating that retail 
stores should keep appropriate records to aid in investigations 
involving FSIS-regulated products associated with foodborne illnesses 
and other food safety incidents.
    To further address the issue, on December 9-10, 2009, the Food and 
Drug Administration (FDA) and FSIS held a public meeting to discuss the 
essential elements of product tracing systems, gaps in then-current 
product tracing systems, and mechanisms to enhance product tracing 
systems for food.\3\ This meeting was followed on

[[Page 79233]]

March 10, 2010, by an FSIS public meeting that discussed its procedures 
for identifying suppliers of source material used to produce raw beef 
product that FSIS found positive for E. coli O157:H7. FSIS sought input 
from meeting participants on ways to improve its procedures for 
identifying product that may be positive for E. coli O157:H7.
---------------------------------------------------------------------------

    \3\ Comments from this hearing are available at: http://www.regulations.gov/#!searchResults;rpp=10;po=0;s=FDA-2009-N-
0523;dct=PS. A transcript of this meeting is available at: http://www.regulations.gov/#!searchResults;rpp=10;po=0;s=FDA-2009-N-
0523;dct=O.
---------------------------------------------------------------------------

    Despite these actions, as explained in the proposed rule, some 
official establishments and retail stores still did not keep and 
maintain the records necessary for effective investigation by FSIS. 
With this history in mind, FSIS conducted a retrospective review of 28 
foodborne disease investigations from October 2007 through September 
2011 in which beef products were ground or re-ground at retail 
stores.\4\ When records were available and complete, enabling FSIS to 
identify specific production in an official establishment, the Agency 
was able to request a recall of product from the supplying 
establishment in six of eleven investigations. In contrast, when 
records were not available or incomplete, FSIS was able to request a 
product recall only two of seventeen times. These results confirmed 
FSIS's experience in specific cases where the presence of records at 
the retail level was often instrumental in identifying the source of an 
outbreak, as well as the implicated products that should be recalled. 
The proposed rule includes a fuller description of this review, 
including specific examples (79 FR 42464).
---------------------------------------------------------------------------

    \4\ Ihry, T., White, P., Green, A., and Duryea, P. Review of the 
Adequacy of Ground Beef Production Records at Retail Markets for 
Traceback Activities During Foodborne Disease Investigations. Poster 
presented at: Annual Conference of the Council of State and 
Territorial Epidemiologists; 2012, June 4-6; Omaha, NE. A copy of 
this document is available at: http://www.fsis.usda.gov/wps/wcm/connect/87caa3f9-0c76-45c7-be4e-84d73151ed9e/RD-2009-0011-072114.pdf?MOD=AJPERES.
---------------------------------------------------------------------------

    Since the review in the proposed rule, FSIS has completed nine 
ground beef outbreak investigations. Of these nine investigations, 
grinding records were available and complete in four of them and 
incomplete or not available in five. When records were available and 
complete, FSIS was able to request a recall of product from the 
supplying establishment in one of four investigations. For the 
remaining three, two led to store level recalls. For these two, FSIS 
did not request recalls at supplier establishments because in one 
investigation, the trim for retail product had over ten suppliers, and 
in the other, FSIS was not able to narrow down the list of suppliers 
because the retailer did not clean up in between grinding different 
products. FSIS did not request a recall for the third case in which 
records were available and complete because there were multiple 
products and multiple federal establishments involved, and FSIS was not 
able to identify the product associated with the illnesses or the 
supplying establishment. In the five investigations where records were 
not available or incomplete, FSIS was unable to request a recall from a 
supplying establishment.
    The investigations reviewed in the proposed rule, and those 
reviewed since the proposed rule, confirm the Agency's findings that 
the records kept by official establishments and retail stores vary in 
type and quality and are often incomplete or inaccurate. Overall, FSIS 
has concluded that voluntary recordkeeping by retail stores that grind 
raw beef has been insufficient, as evidenced by continuing outbreaks 
linked to pathogens in raw ground beef that FSIS cannot trace back to 
the source. The lack of specific information about supplier lot 
numbers, product codes, production dates, and the cleaning and 
sanitizing of grinding equipment has prevented or delayed FSIS in 
identifying the source of outbreaks, as well as other product that 
might be adulterated. The cleaning and sanitizing of equipment used to 
grind raw beef is important because it prevents the transfer of E. coli 
O157:H7 and other bacteria from one lot of product to another.

Proposed Rule

    On July 22, 2014 (79 FR 42464), FSIS proposed to amend the Federal 
meat inspection regulations to require that all official establishments 
and retail stores that grind raw beef for sale keep records disclosing 
the following: The names, points of contact, phone numbers, and 
establishment numbers of suppliers of source materials used in the 
preparation of each lot of raw ground beef; the names of each source 
material, including any components carried over from one production lot 
to the next; the supplier lot numbers and production dates; the weight 
of each beef component used in each lot (in pounds); the date and time 
each lot was produced; and the date and time when grinding equipment 
and other related food-contact surfaces were cleaned and sanitized. 
FSIS also proposed that official establishments and retail stores would 
have to comply with these requirements with respect to raw beef 
products ground at an individual customer's request when new source 
materials are used.
    FSIS posted the sample grinding log record below (Table 2) on its 
Web site in late 2011 and included it with the 2009 guidance and the 
proposed rule. FSIS proposed requiring the items in the sample record 
marked with asterisks. The proposed rule specifically stated that the 
information under the other column headings would not be required, but 
that some official establishments and retail stores might choose to 
keep and maintain this information.

[[Page 79234]]

[GRAPHIC] [TIFF OMITTED] TR21DE15.000


[[Page 79235]]



Final Rule

    As stated above, the final rule is mostly consistent with the 
proposed rule. It requires official establishments and retail stores 
that grind raw beef products to maintain the following records: The 
establishment numbers of the establishments supplying the material used 
to prepare each lot of raw ground beef; all supplier lot numbers and 
production dates; the names of the supplied materials, including beef 
components and any materials carried over from one production to the 
next; the date and time each lot is produced; and the date and time 
when grinding equipment and other related food-contact surfaces are 
cleaned and sanitized. These requirements also apply to raw ground beef 
products that are prepared at an individual customer's request when new 
source materials are used. If new source materials are not used, there 
is no reason to record the customer-requested grind separately.
    The final rule will not require records concerning the names, 
points of contact, and phone numbers of each official establishment 
supplying source material or the weight of each source component. In 
consideration of comments that it received, FSIS has concluded that the 
records concerning the names, points of contact, and phone numbers of 
each official establishment supplying source material were unnecessary 
given that FSIS already possesses this information through the 
establishment profiles in PHIS. In addition, FSIS concluded, in 
response to the comments submitted, that weighing each component in a 
lot of ground beef was time-consuming and offered little food safety 
benefit. Contamination occurs in a lot of ground beef regardless of the 
weight of the contaminated component.
    In conformance with these changes, FSIS has updated its sample 
grinding log as pictured in Table 3 below to reflect the requirements 
of this final rule.

[[Page 79236]]

[GRAPHIC] [TIFF OMITTED] TR21DE15.001

    The final rule also differs from the proposed rule with respect to 
the place of maintenance and the retention period of the required 
records. Based on 9 CFR 320.2, the proposed rule would have required 
records to be kept at the place

[[Page 79237]]

where the business, in this case the grinding activity, is conducted, 
unless the business is conducted at multiple locations, in which case 
the proposal would have allowed the records to be maintained at a 
business's headquarters office. In response to comments, FSIS has 
concluded that keeping the required information at the location where 
the beef is ground will save investigators time and reduce the risk 
that records are misplaced when they are moved. This rule, therefore, 
establishes a new 9 CFR 320.2(b), which requires that all the 
information required by this final rule be kept at the location where 
the beef is ground.
    Based on 9 CFR 320.3(a), the proposed rule would have required that 
the proposed grinding records be retained for a period of two years 
after December 31 of the year in which the transaction giving rise to 
the record (grinding) occurred. In response to comments discussed 
below, FSIS concluded that because the vast majority of ground beef is 
consumed within several months of its production, a one-year retention 
period is adequate to trace the source of any foodborne disease 
outbreak involving raw ground beef. Accordingly, this final rule 
creates a 9 CFR 320.3(c) which requires that official establishments 
and retail stores covered by this rule retain the required records for 
one year.
    The final rule also makes technical changes to 9 CFR 320.2 and 
320.3 to improve readability.

Summary of Comments and Responses

    FSIS received 40 comments on the proposed rule from individuals, 
retailers, beef producers and processors, beef industry and retail 
trade groups, consumer advocacy groups, an organization representing 
food and drug officials, a State department of agricultural and rural 
development, a food technology company, and two members of Congress. 
Most of the commenters supported the proposed rule. Industry groups 
supported recording information for effective investigation in the 
event of a foodborne illness outbreak but stated that the costs of 
compliance were higher than estimated, and that several pieces of 
information were unnecessary or overly burdensome. A summary of the 
relevant issues raised by the commenters and the Agency's responses 
follows.

1. Covered Entities

    Comment: Consumer and retail trade groups stated that the rule 
should apply to supermarkets, grocery stores, meat markets, warehouse 
clubs, cooperatives, supercenters, convenience stores, wholesalers, and 
restaurants.
    Response: This final rule applies to all official establishments 
and retail stores that grind raw beef products for sale to consumers in 
normal retail quantities. The rule covers supermarkets and other 
grocery stores, meat markets, warehouse clubs, cooperatives, 
supercenters, convenience stores, and wholesalers, if they grind raw 
beef product.
    FSIS is not applying this final rule to restaurants. Only a small 
percentage of all raw beef grinding occurs at restaurants and only on a 
very small scale. It is thus likely that any outbreak traced to a 
restaurant that grinds its own raw beef will be traceable to a specific 
supplier.

2. Content of Records

    Comment: Retail organizations, a food technology company, and a 
beef brand recommended reducing costs by removing from the proposed 
rule the requirement to weigh each source component. These commenters 
stated that the proposed requirement was time-consuming, disruptive to 
workflow, unfeasible with current equipment, and offered no public 
health benefit.
    Response: FSIS agrees that the requirement to weigh each source 
component is not necessary. If a foodborne illness outbreak occurs, the 
weight of a source component in a lot of ground beef is not significant 
in tracing the material back to the suppliers. Also, any amount of 
adulterated source material in a lot of ground beef would adulterate 
the product. Accordingly, FSIS has removed this provision from the 
final rule and has adjusted the paperwork burden estimates and costs 
accordingly.
    Comment: An independent grocers' trade group suggested removing the 
requirement to record supplier lot numbers and production dates.
    Response: Supplier lot numbers and production dates are necessary 
to identify product at a supplier's location that may be associated 
with an outbreak. By including supplier lot numbers and production 
dates, investigators can more easily and quickly determine the source 
of a foodborne illness outbreak and limit the amount of product 
recalled.
    Comment: Industry groups generally opposed recordkeeping for 
customer-requested grinds. They stated that it was impractical to clean 
grinding equipment between customer requests, meat case items usually 
lack supplier information, and public health benefits from logging 
these grinds would be limited. One meat industry trade group suggested 
only requiring the proposed recordkeeping provisions for customer-
requested grinds over thirty pounds. A retail trade group recommended 
that its members perform customer-requested grinds at the end of the 
day or during a clear production cycle break.
    Response: Customer-requested grinds present the same food safety 
risk as other raw ground beef. Retailers should keep customer-requested 
grinds separate and must record the information required in this rule 
when new source materials are used for customer-requested grinds. It is 
also in the store's interest to perform a clean up before and after 
customer-requested grinds. If the source is not clear, or if there is 
no clean up, traceback to the supplier will be impossible. The retailer 
would have produced the product associated with the outbreak, and in 
such circumstances, FSIS will have to request that the retailer recall 
product. Also, if the source is not clear, FSIS will likely have to 
request that the retailer recall more product than would be necessary 
if the retailer had recorded the necessary information.
    FSIS agrees that customer-requested grinds present unique 
challenges but estimates that the benefits of being able to rapidly 
identify a customer-grind associated with an outbreak outweigh the 
recordkeeping and clean-up costs.
    Comment: Two food-safety non-profits, a grocery store chain, and a 
consumer group stated that the name of the retail product should be 
recorded to assist in identifying product subject to recall. One 
individual and a food-safety non-profit stated that retail products 
should include specific day or production lot codes to assist in 
tracing products back to specific grinding lots.
    Response: FSIS does not believe that including retail product names 
on records listing source materials used to produce those products is 
practical. Products from different source materials may have the same 
name, e.g., 80/20 Ground Chuck. In addition, products from the same 
source materials may be marketed differently. For example, packages of 
``Bob's Ground Beef'' and ``Jan's Ground Beef'' may originate from the 
same lot of source materials, despite bearing different retail names.
    FSIS is also not requiring official establishments and retail 
stores to label retail products with timestamps or production lot codes 
to identify them with the specific lot or lots of ground beef from 
which they were produced. Retail ground beef products can usually be 
traced back to their specific grinding lots through stores' inventory 
data, the product's date and time of sale, and information stored on 
customers' shopper cards. Once a retail product is traced back to the 
grinding lot or lots,

[[Page 79238]]

the records required by this final rule will enable FSIS investigators 
to identify the source materials, suppliers, and production lots from 
which the product was produced.
    Comment: Industry groups opposed recording the names, points of 
contact, and phone numbers of suppliers because FSIS already has this 
information through PHIS.
    Response: FSIS agrees that the names, points of contact, and phone 
numbers of official establishments supplying source materials are 
already located in the establishment profiles within PHIS. Therefore, 
the establishment numbers of suppliers provide sufficient information 
to FSIS, and FSIS has removed those pieces of information from the 
recordkeeping requirements, leaving the requirement that official 
establishments and retail stores keep the establishment number of their 
suppliers of source materials. FSIS has updated its paperwork burden 
and costs estimates to reflect this change.

3. Use of Sample Grinding Log

    Comment: A consumer group recommended that FSIS provide a sample 
grinding log containing all of the required information. A grocery 
store chain and retail trade group stated that grinders should be able 
to create their own logs, so long as all required information is 
included. A retail trade group questioned whether grinders would be 
required to use the sample log shown above.
    Response: While FSIS has provided a sample grinding log that is 
depicted above, FSIS is not specifying in the final rule how official 
establishments and retail stores must record the required information. 
Entities may record the required information as they see fit, so long 
as the records of the required information are maintained in accordance 
with 9 CFR 320.2 and 320.3.

4. Imports

    Comment: One individual stated that the proposed rule should apply 
to imported beef.
    Response: FSIS' regulations do not apply directly to establishments 
in foreign countries, and retail stores in foreign countries are not 
eligible to export product to the United States. To be eligible to 
export raw beef product to the United States, countries must maintain 
an equivalent inspection system for beef. Therefore, in the event of 
Salmonella or shiga-toxin producing E. coli (STEC) outbreaks, countries 
that ship beef to the United States will need to have traceback and 
traceforward systems for beef products that allow the country to 
identify the source of contamination. Countries that export beef to the 
United States may choose to establish recordkeeping requirements 
consistent with this rule. However, they may also have other means to 
track the necessary information.

5. Other Species

    Comment: Individual commenters and food safety groups believed that 
the rule should apply to ground product produced from swine, poultry, 
lamb, and turkey.
    Response: FSIS issued the proposed rule to address deficiencies in 
recordkeeping that hampered investigations into foodborne illness 
investigations involving raw ground beef. Between 2007 and 2013, FSIS 
investigated 130 outbreaks of human illness. Of those, 31 (24 percent) 
were linked to beef ground at a retail venue. FSIS did not propose that 
new records be maintained for ground products other than beef because 
the Agency is most often impeded in its efforts to trace back and 
identify sources of human illness when beef ground in retail stores is 
the vehicle for those illnesses. FSIS considers the comments requesting 
similar requirements for other ground product to be outside the scope 
of this rule.

6. Consumer Education

    Comment: A meat processor, a meat products company, and two 
individuals stated that more outreach was needed to educate consumers 
on how to properly handle and cook meats.
    Response: FSIS promotes consumer awareness of food safety issues 
and encourages proper food preparation practices. For example, FSIS 
posts consumer food safety information on its Web page.\5\ The posted 
information includes the kind of bacteria that can be found in ground 
beef, specific information as to why the E. coli O157:H7 bacterium is 
of special concern in ground beef, and the best way to handle raw 
ground beef when shopping and when at home. This Web page also contains 
the Food Safe Families Campaign guidelines to keep food safe, which 
tells consumers to cook ground beef to a safe minimum internal 
temperature of 160 [deg]F (71.1 [deg]C) as measured with a food 
thermometer. FSIS also provides food safety education in other forms 
(e.g., FSIS has continued to work with the Ad Council to launch food 
safety public service announcements, and FSIS staff provide in-person 
food safety education through the mobile Food Safety Discovery Zone).
---------------------------------------------------------------------------

    \5\ FSIS food safety guidance for meat preparation, available 
at: http://www.fsis.usda.gov/wps/portal/fsis/topics/food-safety-education/get-answers/food-safety-fact-sheets/meat-preparation.
---------------------------------------------------------------------------

    Nonetheless, recordkeeping by retail establishments will more 
quickly and efficiently address the concerns (i.e., traceback and 
identifying sources of human illness when beef ground in retail stores 
is the vehicle for those illnesses) raised in this final rule.

7. Supplier Process Control Actions

    Comment: One individual urged official establishments to improve 
contamination control at slaughter. A meat products company that did 
not support the rule believed that suppliers cannot control E. coli, 
but that the answer is not more recordkeeping because that does not 
address the core problem, which is the interdependent relationship 
between animals and E. coli.
    Response: FSIS is continuing to address process control actions 
that should be taken by beef suppliers to control E. coli. For example, 
FSIS made available updated guidance on testing and high event periods 
\6\ in 2013 and implemented new traceback activities in 2014.\7\ 
However, while better process control may reduce the incidence of E. 
coli O157:H7-adulterated ground beef, it will not address the issue of 
official establishments and retail stores not keeping adequate records 
that allow effective traceback and traceforward activities. Without the 
records required by this final rule, FSIS cannot conduct timely and 
effective consumer foodborne illness investigations and other public 
health activities through the stream of commerce.
---------------------------------------------------------------------------

    \6\ Compliance Guideline for Establishments Sampling Beef 
Trimmings for Shiga Toxin-Producing Escherichia coli (STEC) 
Organisms or Virulence Markers, available at: http://www.fsis.usda.gov/wps/wcm/connect/e0f06d97-9026-4e1e-a0c2-1ac60b836fa6/Compliance-Guide-Est-Sampling-STEC.pdf?MOD=AJPERES.
    \7\ FSIS Directive 10,010.3, Traceback Methodology for 
Escherichia Coli (E. Coli) 0157:H7 in Raw Ground Beef Products and 
Bench Trim, available at: http://www.fsis.usda.gov/wps/wcm/connect/ae5e81d0-c636-4de1-93f3-7a30d142ae69/10010.3.pdf?MOD=AJPERES.
---------------------------------------------------------------------------

8. Implementation

    Comment: An independent grocers' trade group recommended a two-year 
delayed effective date for small businesses to comply with the rule. 
Alternatively, the commenter stated that small businesses should be 
exempt from the rule's requirements altogether. Similarly, a retail 
trade group believed that small retailers would need more time for 
outreach and training and that implementation would take longer than 
anticipated by the proposed rule

[[Page 79239]]

because of the need to create or modify records forms.
    Response: FSIS has provided sample grinding logs in this rule and 
the proposed rule. Small businesses may use these logs, or any other 
recordkeeping system they wish, to record the required information. 
FSIS believes that the recordkeeping requirements are straightforward 
and do not require extensive training or guidance materials. FSIS has 
also not adopted the proposed requirements that grinders record and 
maintain records of the weight of each source material used in a 
grinding lot, and the names, points of contact, and phone numbers of 
each official establishment supplying source material.
    In addition, as is discussed above, FSIS has advised official 
establishments and retailers to maintain these types of records since 
2002. Nonetheless, in response to comments, this final rule provides 
that retailers and official establishments will have 180 days from the 
date of publication of this final rule to comply with its requirements. 
This effective date should provide industry sufficient time to comply 
with the requirements because FSIS has simplified the requirements 
originally proposed, and FSIS will ensure that establishments and 
retailers are aware of the new requirements through the outreach 
activities discussed below and through partnering with the States and 
other organizations, such as retail organizations.

9. Training

    Comment: One consumer group recommended face-to-face contact by 
FSIS with entities that grind raw beef to explain the rule's 
requirements. A beef producers' trade group encouraged FSIS to conduct 
outreach through webinars and by attending industry meetings. One 
individual stated that operators should be trained to understand the 
risks of E. coli in grinding. Another individual suggested more 
training on keeping logs, proper attire, and hand-washing. A State 
agriculture department believed it would incur costs associated with 
responding to questions from grinders and training State personnel to 
field such questions appropriately.
    Response: As noted above, the recordkeeping requirements in the 
final rule are straightforward and do not require extensive training or 
guidance materials. FSIS will update its Sanitation Guidance for Beef 
Grinders,\8\ which includes sample grinding logs and instructions, and 
will hold webinars to explain the requirements of this final rule and 
answer questions from official establishments, retailers, and other 
organizations. FSIS will also provide guidance to small businesses 
through its Small Plant Help Desk and Small Plant News newsletter, and 
at industry conferences, exhibitions and workshops.
---------------------------------------------------------------------------

    \8\ Available at: http://www.fsis.usda.gov/shared/PDF/Sanitation_Guidance_Beef_Grinders.pdf.
---------------------------------------------------------------------------

10. Retention and Maintenance of Records

    Comment: A food-safety non-profit organization suggested that 
records required under this rule be retained for at least ninety days. 
A grocery store chain believed six-to-twelve months would be adequate. 
A retail trade group believed six months was appropriate. The latter 
two commenters mentioned that frozen beef should be consumed within 
three to four months.
    Response: While ground beef is safe indefinitely if kept frozen, it 
will lose quality over time. FSIS recommends consuming fresh ground 
beef within two days and frozen ground beef within four months.\9\ 
These recommendations suggest that records documenting the grinding of 
raw beef need only be kept for a short period of time. However, the 
Agency is aware that consumers do not always follow such 
recommendations, sometimes keeping ground beef in their freezers for up 
to a year, for example. FSIS is therefore requiring in the final rule 
that official establishments and retailers maintain the prescribed 
records for one year (9 CFR 320.3).
---------------------------------------------------------------------------

    \9\ FSIS Ground Beef and Food Safety, available at: http://www.fsis.usda.gov/wps/portal/fsis/topics/food-safety-education/get-answers/food-safety-fact-sheets/meat-preparation/ground-beef-and-food-safety/CT_Index.
---------------------------------------------------------------------------

    Comment: A trade group representing food safety officials stated 
that records should always be maintained at the location where the beef 
was ground.
    Response: This final rule amends 9 CFR 320.2 to require that 
official establishments and retail stores maintain the required records 
at the place where the raw beef is ground. This approach, along with 
the shorter record retention period being required in 9 CFR 320.3, 
balances the burden on retailers of storing records for the necessary 
period of time with the needs of investigators to have such records 
available at the grinding location.

11. Enforcement

    Comment: Three individuals stated that FSIS should assess 
additional fines or penalties to enforce the final rule's requirements. 
A consumer group recommended FSIS perform verification checks at 
retailers to monitor compliance. A trade group representing food safety 
officials asked how FSIS would enforce the rule and urged FSIS to work 
more cooperatively with State and local food safety agencies. The 
commenter also recommended that local officials have access to the new 
records, as they are often involved at the earliest stages of an 
outbreak.
    Response: The FMIA provides FSIS with authority to require 
specified persons, firms, and corporations to keep records that will 
fully and correctly disclose all transactions involved in their 
businesses subject to the FMIA and to provide access to facilities, 
inventory, and records (21 U.S.C. 642). If official establishments do 
not maintain the required records, FSIS will issue noncompliance 
records. FSIS may also take any regulatory control actions as defined 
in 9 CFR 500.1(a), including the tagging of product, equipment, or 
areas.
    FSIS personnel conduct in-commerce surveillance related to 
wholesomeness, adulteration, misbranding, sanitation, and 
recordkeeping.\10\ When this rule becomes final, FSIS compliance 
investigators will verify that retail grinders meet the recordkeeping 
requirements. If compliance investigators find they do not, they may 
issue a Notice of Warning to the retail store.
---------------------------------------------------------------------------

    \10\ FSIS Directive 8080.1, Rev. 4, Methodology for Conducting 
In-Commerce Surveillance Activities, April 24, 2014.
---------------------------------------------------------------------------

    If FSIS personnel find noncompliance at an official establishment, 
the Agency could issue non-compliance reports, letters of warning, or 
request the Department of Justice to initiate a civil proceeding in 
Federal court to enjoin the defendant from further violations of the 
applicable laws and regulations. If FSIS personnel find noncompliance 
at a retail facility, the Agency may issue notices of warning or 
request the Department of Justice to initiate a civil proceeding to 
enjoin the defendant from further violations of the applicable laws and 
regulations.
    States with their own meat and poultry inspection (MPI) programs 
will need to be aware of the requirements of this rule and are required 
to enforce requirements ``at least equal to'' the Federal inspection 
program. Therefore, they will need to require that establishments under 
State inspection maintain records consistent with what FSIS is 
requiring.
    FSIS will also explore ways to partner with States, with or without 
MPI programs, so that State employees can provide information about the 
recordkeeping requirements to grocery stores, help them to keep logs in 
the most efficient and effective way

[[Page 79240]]

possible, and provide other information that will enhance the 
efficiency and effectiveness of store efforts. FSIS intends to provide 
information to State officials about the grinding logs requirement 
during regular monthly Webinars that FSIS conducts for State MPI 
Directors and State HACCP Contacts and Coordinators.
    FSIS also routinely cooperates with State and local authorities to 
conduct effective foodborne illness investigations, including by 
sharing epidemiological data, records, and investigative resources. 
FSIS intends to provide information to State and local authorities 
during the course of these illness investigations about the role that 
grinding logs can play in facilitating these investigations.

12. Grinding Frequency and Time Burden

    Comment: To reduce costs, a grocers' trade group stated that FSIS 
should require records only for all source materials used in grinds 
during a single production day, requiring a new log for production that 
would begin only after the end-of-day full cleaning of the grinding 
equipment. Several commenters also stated that many retail stores grind 
several times per day and may use several different suppliers, 
significantly increasing recordkeeping costs.
    Response: In the proposed rule, FSIS considered requiring 
documentation of information on a weekly basis, but rejected this 
approach because it would be difficult to differentiate between lots 
ground from different suppliers throughout the week (79 FR 42469). The 
same holds true for daily logs. In either situation, investigators 
would be unable to effectively conduct traceback and traceforward 
activities in the event of an outbreak because of limited detail. FSIS 
is not dictating how often the required information must be physically 
recorded. Under the final rule, the required information must be 
recorded whenever any of the information required for the lot of 
product being ground changes. For example, if an entity uses the same 
source material for multiple grinds throughout the day, it would only 
need to record the source material information (9 CFR 
320.1(b)(4)(i)(A)-(C)) once but would need to record the date and time 
of each grind (9 CFR 320.1(b)(4)(i)(D)). However, if a store or 
establishment were to start using a different supplier or lot number 
during the day, it would need to document that change (9 CFR 
320.1(b)(4)(i)(B)). This approach minimizes the recordkeeping burden 
but preserves the information needed by investigators.
    Comment: A grocery store chain disagreed with FSIS's estimates of 
grinds per day and average number of suppliers at retail, suggesting 
that beef is ground every day, several times per day as needed, and 
with several different cases of raw material. A retail trade group 
estimated more average grinds at retail per day than FSIS's estimate, 
stating that its average member grinds four times per day. A State 
agriculture department and a beef producers' trade group urged further 
study of the economic impact of the rule on small businesses, including 
feedback from industry. A retail trade group estimated that the time 
needed for the proposed recordkeeping is much higher per respondent per 
year than estimated by FSIS, suggesting that a conservative estimate 
would be 214 hours per year.
    Response: FSIS has taken into account comments on the amount of 
time required for recordkeeping and made adjustments to its cost 
estimate. For the final estimates, FSIS adjusted the average number of 
recordkeeping tasks per day at official establishments and retail 
stores from one to a range of four-to-five-and-a-half, plus an 
additional task if an entity conducts a grind composed of only trim. 
FSIS also adjusted the assumed time required to complete a record at 
official establishments and retail stores to account for multiple 
source materials, from 30-to-90 seconds to one minute for grinds not 
including trim, two minutes for grinds including trim and other ground 
beef components, and six-to-ten minutes for trim-only grinds. Trim-only 
grinds are usually composed of trim from different suppliers and 
production lots. Therefore, more time is needed to document the 
required information as compared to other grinding activities. In 
updating these estimates, FSIS has taken into account, in addition to 
the comments, the changes in the final rule concerning required 
records. Specifically, FSIS is using the low end of time estimates from 
the comments because, for the final rule, FSIS has significantly 
reduced the information required to be kept compared to the proposed 
rule.

13. Waste

    Comment: Two individuals and an independent grocers' trade group 
stated that retailers would simply throw out bench trim to avoid the 
recordkeeping requirements.
    Response: In its proposed rule, FSIS considered a 2008 study that 
found that recording grinding information is already prevalent among 
official establishments and retail stores that grind raw beef. The 2008 
study found that 74 percent of chain retail stores and 12 percent of 
independent retail stores kept grinding logs. Of the stores that kept 
grinding logs, the study reported that 78 percent of those logs were 
incomplete (79 FR 42471). Although insufficient voluntary recording is 
one impetus for this rule, FSIS is not aware of any instance when 
official establishments and retail stores that were keeping necessary 
records discarded source material in lieu of recording necessary 
records. Therefore, FSIS concludes that the costs of recordkeeping will 
rarely be greater than the costs of discarding bench trim, and that the 
amount of product discarded as a result of the rule should be 
negligible.

14. Effect on Small Businesses

    Comment: An independent grocers' trade group stated that the 
proposed rule would have a significant economic impact on a substantial 
number of small entities, and, therefore, FSIS must conduct an initial 
regulatory flexibility analysis.
    Response: While the rule will affect a substantial number of small 
businesses, the cost of complying with the proposed regulations will be 
relatively small on a per firm basis. FSIS has provided guidance and a 
sample grinding log, which FSIS will update as appropriate. Similar 
guidance is available from other providers, including industry 
associations.\11\ Entities can use these materials to minimize the 
costs of their recordkeeping programs. In addition, as is discussed 
above, FSIS will hold webinars to provide small businesses additional 
information on the rule and will publish information through its Small 
Plant Help Desk and Small Plant News newsletter. The fact that a number 
of small firms already maintain adequate grinding records suggests that 
the cost of the practice is not prohibitive to doing business.
---------------------------------------------------------------------------

    \11\ Food Marketing Institute, Comprehensive Guide Meat Ground 
at Retail Recordkeeping and Sanitation, available at: http://www.fmi.org/docs/default-source/food-safety-best-practice-guides/meat-ground-at-retail-comprehensive-guide.pdf?sfvrsn=6. Conference 
for Food Protection, Guidance Document for the Production of Raw 
Ground Beef at Various Types of Retail Food Establishments, 
available at: http://www.foodprotect.org/media/guide/CFP%20Beef%20Grinding%20Log%20Template%20Guidance%20Document%20-%208-8-2014.pdf.
---------------------------------------------------------------------------

15. Definition of a Lot of Ground Beef

    Comment: A beef industry trade group commented that some ground 
beef producers have different definitions for ``lots'' or ``batches'' 
of ground beef.

[[Page 79241]]

    Response: FSIS did not propose a definition for a ``lot'' of ground 
beef in the proposed rule. In response to this comment, and for the 
sake of consistency in implementing this final rule, FSIS has added a 
new 9 CFR 320.1(b)(4)(iii), which defines a lot.

Implementation

    All retailers and official establishments will have 180 days from 
the date of publication of this final rule to comply with its 
requirements.
    As is discussed above, this rule does not prescribe the method by 
which official establishments and retail stores must keep the required 
information but does require that the information be kept at the 
location where the beef is ground. The records must be retained for one 
year after the transaction giving rise to the record (grinding) 
occurred. FSIS will update its Sanitation Guidance for Beef 
Grinders,\12\ which currently includes sample grinding logs and 
instructions, and hold webinars to explain the requirements of the 
final rule and answer questions from official establishments, 
retailers, and other organizations. FSIS will also provide information 
to small businesses through its Small Plant Help Desk and Small Plant 
News newsletter. FSIS will provide guidance to State MPI programs on 
the requirements of this rule and seek to partner with States to ensure 
that the requirements of this rule are communicated to official 
establishments inspected by State MPI programs and to retail stores 
that grind raw beef. FSIS will also work with States and universities 
around the nation to conduct outreach workshops targeted to retailers 
and official establishments to explain the requirements of the rule. 
Records of the required information must be made available to 
authorized USDA officials upon request (9 CFR 300.6(a)(2)). These 
officials may examine and copy such records (9 CFR 320.4). At official 
establishments, FSIS inspection personnel will verify compliance. As is 
discussed above, if FSIS personnel find noncompliance at an official 
establishment, the Agency could issue non-compliance reports, letters 
of warning, or request the Department of Justice to initiate a civil 
proceeding in Federal court to enjoin the defendant from further 
violations of the applicable laws and regulations. At retail stores, 
FSIS compliance investigators will verify that retail grinders meet the 
recordkeeping requirements. If compliance investigators find they do 
not, the Agency may issue notices of warning or request the Department 
of Justice to initiate a civil proceeding to enjoin the defendant from 
further violations of the applicable laws and regulations.
---------------------------------------------------------------------------

    \12\ Available at: http://www.fsis.usda.gov/shared/PDF/Sanitation_Guidance_Beef_Grinders.pdf.
---------------------------------------------------------------------------

Executive Orders 12866 and 13563 and Regulatory Flexibility Act

    Executive Orders 12866 and 13563 direct agencies to assess 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 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 12866. Accordingly, this rule has 
not been reviewed by the Office of Management and Budget.
    In updating the preliminary regulatory impact analysis of the 
proposed rule, FSIS has made several changes in response to public 
comments and newly available information. Specifically, FSIS has made 
the following changes in the final regulatory impact analysis:
    [ssquf] Increased the number of retail firms in the baseline using 
new U.S. Census Bureau data;
    [ssquf] Added assumptions about the percentage of retail firms that 
grind raw beef;
    [ssquf] Incorporated new distributions relating to source materials 
used to reflect the complexity of grinding operations;
    [ssquf] Adjusted the time estimates for recordkeeping activities, 
the frequency of recordkeeping tasks, and the number of active grinding 
days per week based on comments received;
    [ssquf] Added estimates of labor to incorporate recordkeeping for 
grinds, including pieces of trim and customer-requested grinds;
    [ssquf] Updated the wage rate and benefits factor for firm 
employees that record or maintain required records based on the newest 
available information;
    [ssquf] Added discussion about unquantified costs associated with 
maintaining records for customer-requested grinds; and
    [ssquf] Expanded the benefits discussion to include benefits not 
previously addressed, such as the mitigation of costly spillover 
effects from foodborne illness outbreaks, and the incentive 
traceability provides to produce safe product.

Need for the Rule

    During investigations of foodborne illness outbreaks attributed to 
ground beef, grinding records are an important part of the traceback 
and traceforward processes. Without accurate records, it is difficult 
to identify where ground beef components originated. If investigators 
cannot identify a source, it is likely that adulterated product will 
remain in commerce and more consumers will eat the product and become 
ill. Delays in identifying the source of contamination can also 
negatively affect sales of ground beef due to loss in consumer 
confidence. Despite efforts by FSIS, industry associations, and other 
regulators to provide retailers and official processing establishments 
with guidance and examples of best practices, the current level of 
recordkeeping is still less than what is needed for timely and accurate 
traceability investigations.
    Traceability systems are a potential way to lessen the costs of 
foodborne illness outbreaks and other food safety events. In the case 
of private regulation, each firm will ultimately decide what level of 
traceability to implement on the basis of costs and potential benefits, 
such as smaller losses of reputation and reduced liability costs during 
foodborne illness outbreaks.\13\ Some firms may decide not to invest at 
all. Insufficient traceability, however, is not optimal for the 
industry as a whole.\14\ In some cases industry associations and third 
parties can influence firms to adopt traceability measures, but in the 
case of grinding records, these efforts have not achieved an acceptable 
level.\15\
---------------------------------------------------------------------------

    \13\ Hobbs, Jill E., (2004) ``Information Asymmetry and the Role 
of Traceability Systems,'' Agribusiness, Vol. 20 (4), 397-415, 
available at: http://onlinelibrary.wiley.com/doi/10.1002/agr.20020/pdf.
    \14\ McEvoy, David M. and Souza-Monteiro, Diogo M., (2008) ``Can 
an Industry Voluntary Agreement on Food Traceability Minimize the 
Cost of Food Safety Incidents?'' 12th Congress of the European 
Association of Agricultural Economists, Gent, Belgium, July 26-29, 
available at: http://ageconsearch.umn.edu/bitstream/43860/2/397.pdf.
    \15\ Gould, Hannah L. et al. (2011) ``Recordkeeping Practices of 
Beef Grinding Activities at Retail Establishments,'' Journal of Food 
Protection, Vol. 74 (6), 1022-1024, available at: http://www.ncbi.nlm.nih.gov/pubmed/21669085.
---------------------------------------------------------------------------

    Forms of private regulation, such as those currently in place for 
raw beef grinding entities, are vulnerable to firms that do not invest 
their fair share to the detriment of others, commonly referred to as 
the ``free rider'' problem.\16\ In the event of a foodborne illness 
outbreak

[[Page 79242]]

attributed to ground beef, if traceback is conducted at an entity that 
maintains adequate records, there is a strong chance that the source of 
contamination will be identified. When this happens, losses in 
reputation, consumer confidence, and sales are generally limited to the 
firm supplying the adulterated product. Other firms, such as the 
retailers (both those that invest in traceability and those that do 
not), are to some degree insulated from negative spillover effects. In 
this case, free-rider firms--those that do not invest in traceability--
benefit from the investments of others.
---------------------------------------------------------------------------

    \16\ Havinga, Tetty, (2006) ``Private Regulation of Food Safety 
by Supermarkets,'' Law and Policy, Vol. 28 (4), 515-533, available 
at: http://www.ru.nl/publish/pages/552245/havingasupermarketslapo2006.pdf.
---------------------------------------------------------------------------

    If, however, traceback occurs at a firm that does not invest in 
recordkeeping, the chances of investigators successfully tracing 
adulterated product to its source are low. An illness outbreak 
attributed to ground beef in which the source is unidentified will 
negatively affect ground beef producers and retailers indiscriminately. 
In this case, firms that have invested in traceability will bear costs 
that could have been avoided were it not for the free-rider firm. 
Mandatory recordkeeping requirements will help to eliminate 
insufficient traceability systems and therefore mitigate the free rider 
problem.
    Inadequate traceability systems can also contribute to moral 
hazard, which, in the case of ground beef, is a lack of incentives to 
produce a safe product.\17\ Producers of ground beef components 
endeavor to produce safe product because the consequences of producing 
unsafe product are great. However, if adulterated ground beef is often 
unable to be traced back to its source, producers face less risk when 
the components they produce are unsafe. Mandatory recordkeeping 
requirements can help to reduce moral hazard by increasing the chances 
that adulterated product is traced back to its source, thereby 
strengthening the incentives for fabricators of ground beef components 
to supply the safest product that they can produce.
---------------------------------------------------------------------------

    \17\ Starbird, S. A., Amanor-Boadu, V., and Roberts, T. (2008) 
``Traceability, Moral Hazard, and Food Safety,'' 12th Congress of 
the European Association of Agricultural Economists, available at: 
http://ageconsearch.umn.edu/bitstream/43840/2/EAAE_0398.pdf.
---------------------------------------------------------------------------

Industry Baseline

    FSIS has identified four groups of businesses that will be subject 
to the final rule.
    1. Official, federally-inspected establishments that grind beef: 
FSIS used information from PHIS to determine the number of federally 
inspected establishments subject to FSIS sampling of ground beef 
product for E. coli O157:H7 and Salmonella in the past calendar year 
(2014). To ensure that only those establishments that receive ground 
beef components from a supplier are included in the total, FSIS 
excluded those establishments that also slaughtered beef in the past 
calendar year.\18\ Using the Hazard Analysis and Critical Control Point 
(HACCP) size categories available in PHIS, FSIS determined that there 
are 12 large establishments and 1,132 small (including HACCP size small 
and HACCP size very small) establishments that fall into this category.
---------------------------------------------------------------------------

    \18\ If an official establishment slaughters beef, then it is 
likely the only source of components for its own ground beef 
production, and therefore it would not need to keep records 
pertaining to suppliers. While it is possible that some official 
establishments both slaughter beef and receive components from other 
official establishments for grinding, the number of such 
establishments is likely very small.
---------------------------------------------------------------------------

    2. Supermarkets and other grocery stores that grind beef: FSIS used 
data from the U.S. Census Bureau to determine the number of grocery 
stores in the U.S. Specifically, FSIS used the 2012 Statistics of U.S. 
Business (SUSB) data set \19\ to determine the number of stores under 
the North American Industry Classification System (NAICS) code 445110--
Supermarkets and Other Grocery (except Convenience) Stores. FSIS found 
that there are 21,543 stores owned by large firms (>=500 employed), and 
44,504 stores owned by small firms (<500 employed). FSIS is aware that 
not all supermarkets and grocery stores grind beef in store. However, 
for the purposes of the cost estimate, FSIS assumed that 100 percent of 
supermarkets and grocery stores grind beef. While this results in a 
minor overestimate, FSIS lacks the data needed to support a different 
assumption.
---------------------------------------------------------------------------

    \19\ U.S. Census Bureau, (2012), Statistics of U.S. Businesses, 
accessed January 28, 2015, available at: http://www.census.gov/econ/susb/.
---------------------------------------------------------------------------

    3. Meat markets that grind beef: FSIS used the 2012 SUSB Census 
data to determine the number of stores under the NAICS code 445210--
Meat Markets. FSIS found that there are 123 stores owned by large 
firms, and 5,105 stores owned by small firms. The NAICS code for meat 
markets includes six subcategories, three of which do not grind beef, 
including Baked Ham Stores, Frozen Meat Stores, and Poultry Dealers. To 
account for these stores, FSIS assumed that 50 percent of large stores 
and 50 percent of small stores in this category grind beef.
    4. Warehouse clubs and supercenters that grind beef: FSIS used the 
2012 SUSB Census data to determine the number of stores under the NACIS 
code 452910--Warehouse Clubs and Supercenters. FSIS determined that 
there are 5,124 such stores owned by large firms, and 40 stores owned 
by small firms. FSIS is aware that not all warehouse clubs and 
supercenters grind beef in store. To account for this, FSIS assumed 
that 20 percent of large stores and 100 percent of small stores grind 
beef.\20\
---------------------------------------------------------------------------

    \20\ FSIS was able to determine that the majority of large 
stores in this category do not grind beef in store because two large 
firms which account for approximately 80 percent of supercenters 
have ceased this practice. These firms purchase beef pre-ground and 
pre-packaged from federally inspected establishments or have it 
shipped from one of their other branded chains.

                                                          Table 4--Entities That Grind Raw Beef
--------------------------------------------------------------------------------------------------------------------------------------------------------
                       Entity type                                Total entities                 Percent grinding                Entities grinding
--------------------------------------------------------------------------------------------------------------------------------------------------------
                   Establishment type                          Large           Small           Large           Small           Large           Small
--------------------------------------------------------------------------------------------------------------------------------------------------------
Official Establishments.................................              12           1,132             100             100              12           1,132
Supermarkets and Other Grocery Stores...................          21,543          44,504             100             100          21,543          44,504
Meat Markets............................................             123           5,105              50              50              62           2,553
Warehouse Clubs and Supercenters........................           5,124              40              20             100           1,025              40
                                                         -----------------------------------------------------------------------------------------------
    Total...............................................          26,802          50,781  ..............  ..............          22,641          48,229
--------------------------------------------------------------------------------------------------------------------------------------------------------
Values in Table may not sum to totals because of rounding.


[[Page 79243]]

    To estimate the number of entities that are already maintaining 
adequate records, FSIS used a Centers for Disease Control and 
Prevention (CDC) study of ground beef recordkeeping practices at retail 
stores and applied the distributions in the study to the entities that 
grind raw beef. The study found that 74 percent of chain retail stores 
and 12 percent of independent retail stores kept grinding logs. Of the 
stores that kept grinding logs, the study reported 78 percent of those 
logs as incomplete.\21\ For the purposes of this estimate, FSIS used 
the chain stores surveyed in the study as a proxy for large retailers 
and official establishments, and the independent stores as a proxy for 
small retailers and official establishments. Therefore, the 
recordkeeping distribution of large entities based on the survey 
results is approximately 16 percent complete (74 percent*(1-78 
percent)), 58 percent incomplete (74 percent*78 percent), and 26 
percent no records. For small entities, the distribution is 
approximately 3 percent complete (12 percent*(1-78 percent)), 9 percent 
incomplete (12 percent*78 percent), and 88 percent no records. FSIS 
applied these distributions to the set of all grinding entities in 
Table 4, above. The current recordkeeping practices of beef grinding 
entities are displayed in Table 5.
---------------------------------------------------------------------------

    \21\ See footnote 3.

                    Table 5--Baseline Recordkeeping Practices at Entities That Grind Raw Beef
----------------------------------------------------------------------------------------------------------------
                                                                                   Distribution
                Entity size                             Recordkeeping                (percent)       Entities
----------------------------------------------------------------------------------------------------------------
Large......................................  Complete...........................              16           3,686
                                             Incomplete.........................              58          13,069
                                             No Records.........................              26           5,887
                                                                                 -------------------------------
                                                Total...........................  ..............          22,641
Small......................................  Complete...........................               3           1,273
                                             Incomplete.........................               9           4,514
                                             No Records.........................              88          42,441
                                                                                 -------------------------------
                                                Total...........................  ..............          48,229
----------------------------------------------------------------------------------------------------------------
Values in table may not sum to Totals because of rounding.

Alternative Regulatory Approaches

    FSIS considered a number of alternatives designed to achieve the 
regulatory objective outlined in the Need for the Rule section. The 
final rule was chosen as the least burdensome, technically acceptable 
regulatory approach to ensure that adequate grinding records are 
maintained for the purposes of outbreak investigation and product trace 
back. While some alternatives would result in lesser costs to industry, 
and some alternatives would result in more complete information for 
outbreak investigators, in FSIS's judgment the final rule is the 
alternative that maximizes net benefits. Cost estimates were developed 
for the final rule but not for the rejected alternatives because the 
costs for these alternatives are discernibly higher or lower because of 
the amount of time spent on recordkeeping.

Alternatives Considered

    (1) Encouraging rather than requiring grinding records: FSIS 
provided industry voluntary guidelines (see Table 2) in 2009. As stated 
previously, the Agency has concluded that a policy of voluntary 
guidelines for recordkeeping has not ensured that all official 
establishments and retail stores maintain complete records that will 
ensure quick identification of contaminated product.
    (2) Regulated Daily Recordkeeping Program: FSIS considered 
requiring that retail stores and official establishments maintain 
grinding records such that each producer recorded grinding activities 
once per day, and information on all suppliers that were used during 
that day but not on when during the day those suppliers were used. 
Daily recording may have been sufficient if entities typically cleaned 
their equipment once a day, rarely changed suppliers, and conducted few 
grinds per day, but FSIS has found that the majority of retailers grind 
product and clean their equipment multiple times per day. A single 
daily recordkeeping task is, therefore, insufficient to provide the 
necessary information for traceback and could inhibit FSIS's ability to 
identify suppliers during ongoing outbreaks. In addition, the time 
savings of daily recordkeeping over per-grind recordkeeping is likely 
low since most of the same information will need to be kept. Therefore, 
FSIS rejected this alternative.
    (3) The Final Rule: The chosen alternative requires that retail 
stores and official establishments maintain grinding records such that 
each producer must record the required information whenever any of the 
required information for the lot of product being ground changes. To 
minimize the burden placed on these entities, FSIS has removed certain 
pieces of information from the requirements that were included in the 
proposed rule, ensuring that only the necessary information for 
traceability is maintained. Requiring records that pertain to each 
individual grind guarantees that investigators will be able to identify 
the components included in an adulterated package of ground beef, 
creating a narrower list of potential sources of adulterated product 
and increasing the chances that the source of contamination is 
identified. FSIS has determined that this alternative is the least 
burdensome option that achieves the regulatory objective.
    (4) More Detailed Recordkeeping Program: FSIS also considered 
expanding the proposed recordkeeping requirements to include all fields 
suggested in the 2009 FSIS guidance (all fields in the Table 2 sample 
log). This approach would provide FSIS with more detailed records to 
use during an investigation, which may improve traceability slightly. 
However, the small improvement in the trace back process provided by 
the additional level of detail would place an unnecessarily large 
burden on those entities that grind product and must keep records. Any 
such small improvement would not outweigh the costs incurred for 
keeping the more detailed records. For this reason, FSIS decided to 
require that only the most critical information be recorded. Other 
information, including

[[Page 79244]]

that which appears on the sample log, is voluntary.
    The costs and benefits of the final rule and each regulatory 
alternative are displayed in Table 6.

               Table 6--Regulatory Alternatives Considered
------------------------------------------------------------------------
         Alternative                  Costs               Benefits
------------------------------------------------------------------------
(1) Encouraging Voluntary     No additional costs.  No additional
 Recordkeeping.                                      benefits.
(2) Regulated Daily           Slightly less costly  Improvement over
 Recordkeeping.                alternative to        voluntary
                               industry due to       recordkeeping
                               small time savings    because records are
                               over per-grind        required and must
                               recordkeeping.        be created every
                                                     day of grinding,
                                                     but the records
                                                     will in most cases
                                                     not be detailed
                                                     enough to
                                                     facilitate
                                                     traceability.
                                                     Therefore, any
                                                     benefits that can
                                                     realistically be
                                                     expected will be
                                                     minimal, and the
                                                     objective of
                                                     facilitating
                                                     traceability will
                                                     not be met.
(3) The Final Rule..........  $59.3 million ($48.5  Achievement of
                               million to $70.2      regulatory
                               million) annual       objective resulting
                               costs to the          in benefits to
                               industry, plus        consumers in the
                               additional costs      form of averted
                               associated with       foodborne illness,
                               recording the         to retailers and
                               source of trim and    official
                               customer-requested    establishments
                               grind components.     grinding components
                               Potential slight      from suppliers in
                               costs to consumers.   the form of less
                                                     costly outbreaks
                                                     and recalls, and to
                                                     official
                                                     establishments
                                                     supplying ground
                                                     beef components in
                                                     the form of less
                                                     costly recalls and
                                                     insulation from
                                                     costly spillover
                                                     effects during food
                                                     safety events.
(4) More Detailed             Most costly           Achievement of
 Recordkeeping.                alternative to        regulatory
                               industry.             objective resulting
                                                     in the benefits
                                                     described above.
                                                     Potential for small
                                                     increase in
                                                     traceback speed and
                                                     therefore small
                                                     increase in avoided
                                                     illnesses.
------------------------------------------------------------------------

Expected Costs of the Final Rule

Costs to Industry

    Retailers and official establishments that grind raw beef will 
incur costs to comply with the final rule. These include the labor cost 
of employees who record and maintain the records, storage costs, and 
those costs associated with trim and customer-requested grinds. FSIS 
has attempted to estimate the cost of labor and storage using 
information obtained from industry associations, the U.S. Census 
Bureau, the U.S. Bureau of Labor Statistics, a commercial real estate 
services firm report, and public comments.
    In order to keep adequate records when grinding trim, entities will 
need to keep track of the source of each cut of beef from which the 
trim was separated. If not all of the trim is ground in a single batch, 
then entities will need to record each lot in which the trim is used. 
Similarly, if retail stores grind beef at the request of customers, 
they will need to record the required information for that small grind 
if new source materials are used. How entities choose to deal with the 
requirements will differ, and the costs associated with these 
requirements will vary greatly because of differences in firm size, 
component ordering practices, and grinding practices. FSIS used labor-
time estimates from a grocery store chain's public comments to estimate 
additional costs related to grinding trim. FSIS left additional costs 
related to customer requested grinds unquantified because of the many 
variations in how retail stores will deal with the requirements and the 
relatively small number of customer grinds that take place.
    Entities may incur other costs for training and investment should 
they choose to implement complex recordkeeping systems. Electronic 
recordkeeping options exist, which are likely more expensive than paper 
records but provide additional benefits such as improved accuracy, 
lower labor requirements, useful reporting and recall management tools, 
and supply-side management functions. Firms will decide individually 
whether these systems are suitable to their needs, and the proportion 
of those choosing more complex systems is uncertain. For the purposes 
of the cost estimate, FSIS has only estimated costs and benefits of the 
basic, paper-based system of recordkeeping. FSIS assumes that if firms 
choose to invest more in their recordkeeping systems, they will do so 
because the benefits achieved outweigh the costs.
    Model records are available in the preamble of this final rule, on 
the FSIS Web site,\22\ and on the Web sites of industry associations. 
Best practices and guidance for beef grinders are also available from a 
number of sources.\23\ Therefore, FSIS does not anticipate that 
entities will incur significant costs for the development of records 
and standard operating procedures. FSIS also believes that training for 
recordkeeping can be done informally, on the job, and will therefore 
result in minimal costs. Also, as noted above, FSIS will conduct 
webinars and provide guidance to help inform industry of the new 
requirements, which will help minimize training costs.
---------------------------------------------------------------------------

    \22\ FSIS, (2012) Sanitation Guidance for Beef Grinders, 
available at: http://www.fsis.usda.gov/wps/wcm/connect/b002d979-1e1e-487e-ac0b-f91ebd301121/Sanitation_Guidance_Beef_Grinders.pdf?MOD=AJPERES.
    \23\ Food Marketing Institute, (2013) ``Comprehensive Guide Meat 
Ground at Retail Recordkeeping and Sanitation,'' accessed February 
12, 2015, available at: http://www.fmi.org/docs/default-source/food-safety-best-practice-guides/meat-ground-at-retail-comprehensive-guide.pdf?sfvrsn=6. Beef Industry Food Safety Council, (2005) ``Best 
Practices For Retailer Operations Producing Raw Ground Beef,'' 
accessed February 12, 2015, available at: https://www.bifsco.org/CMDocs/BIFSCO/Best%20Practices/bestpracticesforretail4-05.pdf.
---------------------------------------------------------------------------

    To estimate the labor costs associated with recordkeeping, FSIS 
divided the entities keeping no records and incomplete records into 
categories based on three basic types of grinding activities:
    1. No trim--grinds in which no trim is used, only chubs of ground 
beef;
    2. With trim--grinds in which trim is added to chubs of ground 
beef; and
    3. Trim-only--grinds consisting only of trim.
    Using distributions from the CDC recordkeeping study, FSIS was able 
to estimate the number of official establishments and retail stores 
that do not use trim in their grinds (no trim), that use trim in their 
grinds (with trim), and that use no trim in some grinds and

[[Page 79245]]

only trim in others (trim-only). While there are likely other 
combinations of practices, and not all entities will fall into the 
three defined categories, these categories are sufficient for the 
purposes of the cost estimate. The categorization of entities is 
displayed in Table 7.

                          Table 7--Entities Categorized by Types of Grinding Performed
----------------------------------------------------------------------------------------------------------------
      Size           Recordkeeping        Entities        Trim or no trim       Trim practices       Entities
----------------------------------------------------------------------------------------------------------------
Large..........  Incomplete..........          13,069  Using Trim (91%)....  Trim-Only (90%)....          10,703
                                                                             With Trim (10%)....           1,189
                                                       No Trim (9%)........  ...................           1,176
                 No Records..........           5,887  Using Trim (91%)....  Trim-Only (90%)....           4,821
                                                                             With Trim (10%)....             536
                                                       No Trim (9%)........  ...................             530
Small..........  Incomplete..........           4,514  Using Trim (61%)....  Trim-Only (52%)....           1,432
                                                                             With Trim (48%)....           1,322
                                                       No Trim (39%).......  ...................           1,761
                 No Records..........          42,441  Using Trim (61%)....  Trim-Only (52%)....          13,462
                                                                             With Trim (48%)....          12,427
                                                       No Trim (39%).......  ...................          16,552
----------------------------------------------------------------------------------------------------------------
Values in table may not sum to Totals because of rounding.

    FSIS assigned time estimates for each of the three types of grinds 
based on public comments. For no trim grinds, FSIS assumed that 
recordkeeping would take approximately 1 minute per grind.\24\ For with 
trim grinds, FSIS assumed that the number of components would 
approximately double, and therefore recordkeeping would take about 2 
minutes. For trim-only grinds, FSIS assumed that recordkeeping would 
vary depending on the number of sources and take approximately 6 to 10 
minutes per grind.\25\ If an entity is keeping complete records, FSIS 
assumed that it would not incur any additional costs; if an entity is 
keeping no records, it would incur costs associated with the full labor 
time estimate, and if an establishment is keeping incomplete records, 
FSIS assumed it would incur costs associated with half of the labor 
time estimate.
---------------------------------------------------------------------------

    \24\ ``60 seconds to fill each grind log entry''--Docket ID# 
FSIS-2009-0011-0035, available at: http://www.regulations.gov/#!documentDetail;D=FSIS-2009-0011-0035.
    \25\ ``8 minutes per day to log beef trim,''  2 
minutes to account for varying number of components--Docket ID# 
FSIS-2009-0011-0035, available at: http://www.regulations.gov/#!documentDetail;D=FSIS-2009-0011-0035.
---------------------------------------------------------------------------

    FSIS also relied on public comments to estimate the number of 
grinding activities completed per day. FSIS consequently estimated that 
the average entity grinds 4 to 5.5 times per day,\26\ with the 
exception of those that do trim-only grinding. For those entities, FSIS 
estimated that they would complete no trim grinds 4 to 5.5 times per 
day and then perform an additional trim-only grind (for a total of 5 to 
6.5 per day). Further, FSIS estimated that approximately 90 percent of 
retailers perform customer-requested grinds, and that those grinds make 
up 1 percent of the total grinds.\27\ FSIS estimated that the 
recordkeeping for customer-requested grinds would take about 1 minute. 
Customer-requested grinds were not applied to official establishments. 
Finally, FSIS estimated that the average retailer grinds 6 days per 
week.\28\
---------------------------------------------------------------------------

    \26\ Low estimate: ``Grinds raw beef 4x per day''--Docket ID# 
FSIS-2009-0011-0034, available at: http://www.regulations.gov/#!documentDetail;D=FSIS-2009-0011-0034. High estimate: Midpoint of 
``3-8 batches a day''--Docket ID# FSIS-2009-0011-0040, available at: 
http://www.regulations.gov/#!documentDetail;D=FSIS-2009-0011-0040.
    \27\ ``90 percent of the retailers that grind beef in store 
perform grinds at a consumer's request . . . the figure is 1 percent 
or less''--Docket ID# FSIS-2009-0011-0047, available at: http://www.regulations.gov/#!documentDetail;D=FSIS-2009-0011-0047.
    \28\ ``6x per week''--Docket ID# FSIS-2009-0011-0034, available 
at: http://www.regulations.gov/#!documentDetail;D=FSIS-2009-0011-
0034.
---------------------------------------------------------------------------

    To illustrate the time estimate, FSIS has provided the following 
example of a retail store that does trim-only grinds, performs 
customer-requested grinds, and has incomplete records:
    [ssquf] Low Estimate: [4 grinds per day x 1 min per grind (no trim) 
+ 1 grind per day x 6 min per grind (trim-only) + {5 grinds (no trim + 
trim-only) * 1/99 \29\{time}  grinds per day x 1 min per grind 
(customer request)] x 6 days per week x 50 percent (incomplete records) 
= 30.2 minutes per week.
---------------------------------------------------------------------------

    \29\ (1/99) is the factor used to calculate the number of 
customer-requested grinds as 1 percent of the total grinds.
---------------------------------------------------------------------------

    [ssquf] High Estimate: [5.5 grinds per day x 1 min per grind (no 
trim) + 1 grind per day x 10 min per grind (trim-only) + {6.5 grinds 
(no trim + trim-only) * 1/99{time}  x 1 min per grind (customer 
request)] x 6 days per week x 50 percent (incomplete records) = 46.7 
minutes per week.
    If the store in the example above started with no records, the 50-
percent factor would be removed, increasing the time burden to 60.3 to 
93.4 minutes per week. If instead the store were an official 
establishment, the customer grinds would be removed, resulting in a 
burden of 30 to 46.5 minutes per week.
    Time estimates were calculated for each entity in Table 7 and then 
multiplied by 52 weeks for an annual estimate. To calculate the cost of 
this added labor, FSIS estimated that the recordkeeping would be 
performed by an employee paid at the Bureau of Labor Statistics 
``Butchers and Meat Cutters'' (occupation code 51-3021) mean hourly 
wage rate of $14.40.\30\ To account for benefits paid to these 
employees, such as paid leave and retirement contributions, FSIS 
applied a benefits factor of 1.412 \31\ to the wage rate, resulting in 
a total compensation rate of $20.33 per hour. FSIS then multiplied the 
labor time estimates by the total compensation rate estimate to get the 
total annual cost of labor, displayed in Table 8.
---------------------------------------------------------------------------

    \30\ Bureau of Labor Statistics, May 2013 National Occupational 
Employment and Wage Estimates, accessed February 2, 2015, available 
at: http://www.bls.gov/oes/current/oes_nat.htm.
    \31\ Bureau of Labor Statistics, Employer Costs for Employee 
Compensation, September 2014, accessed February 2, 2015, available 
at: http://www.bls.gov/news.release/ecec.t06.htm. Wages and salaries 
as a percentage of total compensation are estimated at 70.8% for all 
service-providing industries, with total benefits accounting for the 
other 29.2%. To estimate total compensation, FSIS applied a benefits 
factor of (29.2%/70.8% + 1) = 1.412 to the hourly wage rate.

[[Page 79246]]



                                           Table 8--Annual Labor Costs
----------------------------------------------------------------------------------------------------------------
                                                            Low estimate      High estimate    Midpoint estimate
                      Entity size                              ($mil)             ($mil)             ($mil)
----------------------------------------------------------------------------------------------------------------
Large..................................................              12.24              18.70              15.47
Small..................................................              33.54              48.74              41.14
                                                        --------------------------------------------------------
    Total..............................................              45.78              67.44              56.61
----------------------------------------------------------------------------------------------------------------
Values in table may not sum to Totals because of rounding.

    To account for record storage costs, FSIS again used distributions 
of recordkeeping practices from the aforementioned CDC study.\32\ 
According to the study, 36 percent of retailers that maintain records 
keep them for greater than 1 year, 39 percent keep records for 6 months 
to 1 year, and 25 percent keep records for less than 6 months. FSIS 
assumed that grinding records for a full year could be kept in 3 square 
feet of storage space, and that the cost of that storage would be 
approximately $15.50 annually.\33\ FSIS then assumed that those retail 
stores that already kept records, but for less than 6 months, would 
incur $46.50 in costs for a full year of storage (3 sq. ft. x $15.50), 
and those entities that already kept records for 6 months to 1 year 
would pay half the annual cost, or $23.25. Those entities keeping 
records for greater than 1 year would have no additional costs because 
they are already maintaining records at the minimum level.
---------------------------------------------------------------------------

    \32\ See footnote 3.
    \33\ Cassidy Turley, National Retail Review Winter 2014, 
accessed February 3, 2015, available at: http://dtz.cassidyturley.com/DesktopModules/CassidyTurley/Download/Download.ashx?contentId=3926&fileName=Cassidy_Turley_National_Retail_Review_Winter_2014.pdf. FSIS used the national average quoted rate 
for Community/Neighborhood/Strip Shopping Centers (see page 11) to 
approximate the cost of storing records at a retail store.
---------------------------------------------------------------------------

    The distribution from the CDC study was applied to the number of 
retail stores keeping complete or incomplete records, and then 
multiplied by the assumed annual cost of storage. The retail stores 
that do not keep records will incur the $46.50 in costs for a full year 
of storage.
    For official establishments, FSIS assumed that those already 
maintaining records would be keeping those records for at least 2 
years, as required by 9 CFR 320.3(a). For these establishments there 
would be cost savings associated with one year of reduced storage time 
equivalent to $46.50. For official establishments not maintaining 
records, there would be an additional cost of $46.50. FSIS applied the 
cost savings to those official establishments keeping records and the 
additional costs to those official establishments keeping no records, 
and added those costs and savings to the recordkeeping costs estimated 
for retail stores. The results are displayed in Table 9.

                  Table 9--Annual Record Storage Costs
------------------------------------------------------------------------
                                                         Storage costs
            Entity size             Affected entities        ($mil)
------------------------------------------------------------------------
Large.............................             16,613               0.62
Small.............................             46,194               2.08
                                   -------------------------------------
    Total.........................             62,807               2.70
------------------------------------------------------------------------
Values in table may not sum to Totals because of rounding.

    The total cost to industry was calculated as a sum of the 
previously estimated costs. The results of the annual industry cost 
estimate are displayed in Table 10.

                                      Table 10--Total Annual Industry Costs
----------------------------------------------------------------------------------------------------------------
                                                                        Midpoint
            Entity size               Low estimate    High estimate     estimate          Unqualified costs
                                         ($mil)          ($mil)          ($mil)
----------------------------------------------------------------------------------------------------------------
Large..............................           12.86           19.32           16.09  Additional costs associated
Small..............................           35.63           50.83           43.23   with the grinding of trim
                                                                                      and customer requested
                                                                                      grinds.
                                    ------------------------------------------------
    Total..........................           48.48           70.15           59.32
----------------------------------------------------------------------------------------------------------------
Values in table may not sum to Totals because of rounding.

Cost to Consumers

    This rule will not result in any direct costs to consumers. It is 
possible that retailers and official establishments that grind raw beef 
will pass on a portion of the increased cost of grinding to consumers. 
In most cases these costs should be small. In the case of customer-
requested grinds, consumers may end up paying a small fee, as is 
presently customary at some retail stores. While this practice may 
discourage some consumers, the facts that customer-requested grinds are 
so infrequent, and fees are already applied at some locations, suggest 
that fees will not cause major disruptions to ground beef sales. 
Therefore FSIS expects that

[[Page 79247]]

any indirect costs to consumers will be minimal.

Cost to Agency

    FSIS does not anticipate that the Agency or other regulators will 
incur additional costs as a result of this rule. FSIS has provided 
guidance to retailers that grind raw beef and will continue outreach 
efforts to ensure that retailers are aware of the rule and are able to 
comply. FSIS will also hold webinars and provide guidance on the new 
recordkeeping requirements.
    FSIS will conduct a retrospective analysis to quantify what 
effects, if any, the final rule has on Agency resources. To do so, FSIS 
will examine the following:
     Number, length, and outcome of recall effectiveness 
checks.
     Regulatory noncompliance citations at official 
establishments for the proposed revisions to 9 CFR 320.1(b)(4).
    We determined to not examine the overtime hours for enforcement, 
district office, and recall staff on a per-outbreak basis, as suggested 
in the proposed rule. The overtime hours cannot directly link to 
outbreaks.

Expected Benefits of the Final Rule

Public Health Benefits

    Mandatory grinding logs with a minimum level of necessary 
information will improve FSIS investigators' ability to trace 
implicated product to its source, recommend timely and accurate 
recalls, remove adulterated product from commerce, and prevent 
illnesses at later stages of outbreaks.\34\
---------------------------------------------------------------------------

    \34\ For a visual representation of the potential for averted 
illnesses due to quicker investigations and an earlier recall, 
please refer to Figure 1 of the FDA Establishment and Maintenance of 
Records Under the Public Health Security and Bioterrorism 
Preparedness and Response Act of 2002 final rule, available at: 
https://federalregister.gov/a/04-26929/#p-674.
---------------------------------------------------------------------------

    Mandatory grinding logs will increase the likelihood that 
adulterated product is able to be traced back to its source. When FSIS 
identifies official establishments producing adulterated product, it 
takes steps to assess their production processes through comprehensive 
food safety assessments and follow-up evaluations. In doing so, FSIS is 
able to identify poor practices and deficiencies in process control and 
to require changes to resolve these issues. In some cases these 
assessments lead to findings that are valuable to industry as a whole, 
and the lessons learned can be documented and disseminated in the form 
of guidance. Improvements to production practices and process control, 
whether at implicated official establishments or other establishments 
that have benefited from lessons learned, will result in reductions in 
foodborne illness outbreaks.
    Firms that supply ground beef components will have incentives to 
apply the guidance developed as a result of previous outbreak 
investigations and to improve the safety of their product in general. 
As traceability systems improve as a result of better recordkeeping, 
liability for food safety events will be shifted from retailers to 
suppliers. This shift will reduce the prevalence of moral hazard--
explained previously in the Need for the Rule section--thereby 
incentivizing supplier firms to produce safer product through the 
potential for adverse consequences of supplying unsafe product, such as 
reputation loss and litigation.\35\ Therefore, by improving 
traceability through better recordkeeping, this rule has the potential 
to promote a safer supply of ground beef for consumers.
---------------------------------------------------------------------------

    \35\ See footnote 9.
---------------------------------------------------------------------------

Benefits to Retailers and Official Establishments That Grind Raw Beef

    Retailers and official establishments that grind raw beef products 
purchased from a supplier will benefit from mandatory recordkeeping 
because investigators have a better chance of tracing the adulterated 
product back to the supplier. Investigations that end at the retail 
level often result in recalls that are very costly for retailers 
because they bear the burden of product loss and compensating customers 
for returned product. These recalls can also negatively affect the 
brand of the store or chain, resulting in a loss in consumer confidence 
and a loss in sales. In some cases outbreak investigations that end at 
the retail level could result in exposure to legal liability.\36\ 
Accurate records increase the likelihood that contaminated product is 
traced to its source, lessening the impact of recalls on retailers and 
official establishments that purchase ground beef components from 
suppliers.
---------------------------------------------------------------------------

    \36\ See Financial Exposures section of: Grocery Manufacturers 
Association (GMA), Covington & Burling, and Ernst & Young 
``Capturing Recall Costs,'' 2011, accessed January 15, 2015, 
available at: http://www.gmaonline.org/file-manager/images/gmapublications/Capturing_Recall_Costs_GMA_Whitepaper_FINAL.pdf.
---------------------------------------------------------------------------

    For retailers that are already maintaining accurate records, there 
will be benefits from the reduction in free rider firms, as explained 
previously in the Need for the Rule section. Fewer free rider firms 
will decrease the chances that outbreak investigations go unresolved, 
which can greatly reduce the cost to retailers. When a source is not 
identified, an outbreak may indiscriminately affect firms selling and 
producing ground beef. The fresh spinach outbreak in 2006 is a prime 
example of the consequences of an outbreak where the source of 
contamination is in doubt. Bagged spinach was associated with 
infections of E. coli O157:H7, but because no individual processor 
could be identified as having been the source of the outbreak, FDA and 
CDC issued a public alert advising consumers not to eat bagged spinach 
and eventually advised consumers not to eat all fresh spinach. Six 
companies issued voluntary recalls in September 2006. Sales of spinach 
plummeted from $14.3 million in September to $3.7 million in October 
and did not recover fully until January 2008.\37\ An outbreak caused by 
a single firm, which was identified weeks after public warnings and 
recalls took place, ended up causing serious losses to the entire 
industry. Mandatory recordkeeping increases the chances that an 
investigator identifies the source of contamination, thereby increasing 
the chances that an outbreak will have minimal impact on uninvolved 
firms.
---------------------------------------------------------------------------

    \37\ University of Minnesota Food Industry Center, (2009) 
``Natural Selection: 2006 E. coli Recall of Fresh Spinach,'' 
accessed January 20, 2015, available at: http://ageconsearch.umn.edu/bitstream/54784/2/Natural%20Selection.pdf.
---------------------------------------------------------------------------

Benefits to Official Establishments That Supply Ground Beef Components

    Official establishments supplying retail stores and processing 
establishments with ground beef components will also benefit from the 
increased ability of FSIS investigators to identify sources of 
contamination. When individual establishments are found to be suppliers 
of adulterated product, other uninvolved establishments are insulated 
from large spillover effects such as those illustrated in the spinach 
recall described above. Identifying the source establishment will 
likely be even more significant for official establishments because 
ground beef components make up a greater portion of their sales than 
ground beef would at a retail store. Mandatory recordkeeping could help 
to preserve consumer confidence and ground beef sales in the event of a 
foodborne illness outbreak, benefiting all firms that are uninvolved in 
the outbreak, while penalizing the establishment that supplied the 
adulterated product.
    Another potential benefit for official establishments is a 
reduction in the scope of ground beef recalls. All else being equal, 
more accurate grinding records should result in the

[[Page 79248]]

identification of specific lots of implicated product and therefore a 
narrower recall.\38\ Smaller recalls will result in lower costs from 
product loss and reimbursement and recall execution costs such as 
advertising and public relations management. In some cases, smaller 
recalls as a result of better recordkeeping could even minimize sales 
losses, because a recall could be limited to a smaller geographical 
region thereby reducing losses in consumer confidence.
---------------------------------------------------------------------------

    \38\ Resende-Filho, Moises A. and Buhr, Brian L. ``Economics of 
Traceability for Mitigation of Food Recall Costs,'' prepared for 
presentation at the International Association of Agricultural 
Economists (IAAE) Triennial Conference, Foz do Igua[ccedil]u, 
Brazil, 18-24 August, 2012, available at: http://ageconsearch.umn.edu/bitstream/126193/2/IAAE_2012_Paper.pdf. This 
paper presents simulation results of a model that indicated that 
that presence of a traceability system decreased volumes of recalls 
by over 90 percent (see Table 3).
---------------------------------------------------------------------------

    Finally, official establishments will benefit from lessons learned 
during recalls and follow-up assessments at entities linked to 
foodborne illness outbreaks. As recordkeeping practices at retail and 
official processing establishments improve, more outbreaks will be able 
to be traced to their source. This traceback will initiate further 
examination of current practices and could lead to the identification 
of significant issues that, if corrected, would benefit official 
establishments generally.

Net Benefits of the Final Rule

    The total costs and benefits achieved as a result of the final rule 
are displayed in Table 11.

                Table 11--Net Benefits of the Final Rule
------------------------------------------------------------------------
 
------------------------------------------------------------------------
Costs:                                 .................................
    Labor............................  $56.6 million annually ($45.8
                                        million to $67.4 million).
    Storage..........................  $2.7 million annually.
    Unquantified Costs...............  Non-labor costs associated with
                                        recordkeeping for the grinding
                                        of trim and customer requested
                                        grinds.
                                       Potential slight costs to
                                        consumers in the form of ground
                                        beef price increases.
Benefits:
    Unquantified Benefits............  Benefits to consumers in the form
                                        of averted foodborne illnesses
                                        as a result of contaminated
                                        ground beef.
                                       Benefits to retailers and
                                        official establishments grinding
                                        raw beef in the form of less
                                        costly food safety events, such
                                        as outbreaks and recalls.
                                       Benefits to official
                                        establishments supplying ground
                                        beef components in the form of
                                        less costly recalls and
                                        insulation from costly spillover
                                        effects during food safety
                                        events.
------------------------------------------------------------------------

Regulatory Flexibility Analysis

    The FSIS Administrator certifies that, for the purpose of the 
Regulatory Flexibility Act (5. U.S.C. 601-602), the final rule will not 
have a significant economic impact on a substantial number of small 
entities in the United States. While the rule does affect a large 
number of small businesses, the average per entity annual cost is 
relatively low, at approximately $905 (746 to 1,064). This estimate 
does not include unquantified costs associated with customer-requested 
grinds. These costs will vary by retail store, but the total cost of 
compliance across the industry will be low because of the relatively 
small number of customer requested grinds. Table 12 provides a summary 
of the small entities affected by the final rule and the average annual 
cost.

                     Table 12--Total Costs and Average Cost per Entity for Small Businesses
----------------------------------------------------------------------------------------------------------------
                                                                                   Total annual   Average annual
                           Entity type                               Entities       cost ($mil)      cost ($)
----------------------------------------------------------------------------------------------------------------
Retailer........................................................          46,649           42.22          905.16
Official........................................................           1,132            1.00          885.63
                                                                 -----------------------------------------------
    Total.......................................................          47,781           43.23          904.70
----------------------------------------------------------------------------------------------------------------
Values in table may not sum to Totals because of rounding.

    There is a multitude of guidance already available that small 
businesses can use, and FSIS has provided a sample grinding log in this 
final rule that can be used. These resources will help to keep the cost 
of implementing a new recordkeeping program low. In general, as the 
size of the business and the amount of ground product sold gets 
smaller, so too will the number of suppliers and components used, and 
the number of grinds performed. The smaller scale of production should 
contribute to lower average costs for smaller businesses. Moreover, the 
fact that some small firms are already maintaining adequate records 
shows that the cost of the practice is not prohibitive to doing 
business.

Paperwork Reduction Act

    In accordance with section 3507(d) of the Paperwork Reduction Act 
of 1995 (44 U.S.C. 3501 et seq.), the new information collection 
requirements included in this final rule have been submitted for 
approval to the Office of Management and Budget (OMB).
    Title: Records to be Kept by Official Establishments and Retail 
Stores that Grind Raw Beef Products.
    Type of Collection: New.
    Abstract: Under this final rule, all official establishments and 
retail stores that grind raw beef products for sale in commerce, 
including products ground at a customer's request, will have to 
maintain certain records.
    The required records will have to include the following 
information:
    (A) The establishment numbers of the establishments supplying the 
materials used to prepare each lot of raw ground beef product,
    (B) All supplier lot numbers and production dates,
    (C) The names of the supplied materials, including beef components

[[Page 79249]]

and any materials carried over from one production lot to the next,
    (D) The date and time each lot of raw ground beef product is 
produced, and
    (E) The date and time when grinding equipment and other related 
food-contact surfaces are cleaned and sanitized.
    In response to comments, FSIS removed requirements for entities 
covered by this rule to provide names, points of contact, and phone 
numbers for official establishments. Also in response to comments, the 
Agency eliminated the requirement that the weight of each source 
component used in a lot of ground beef be kept. However, in response to 
other public comments, FSIS increased the time estimates for 
recordkeeping activities, the frequency of recordkeeping tasks, and the 
number of active grinding days per week. FSIS also increased the number 
of retail stores that will be affected by the rule. These changes 
resulted in a significant increase in the number of burden hours 
initially estimated in the proposed rule.
    Estimate of Burden: FSIS estimates that it would take a maximum of 
50.33 hours per respondent annually.
    Respondents: Official establishments and retail stores that grind 
raw beef products.
    Estimated Number of Respondents: 65,911.
    Estimated Maximum Annual Number of Responses per Respondent: 1,878.
    Estimated Maximum Total Annual Recordkeeping Burden: 3,317,493 
hours.
    Copies of this information collection assessment can be obtained 
from Gina Kouba, Paperwork Reduction Act Coordinator, Food Safety and 
Inspection Service, USDA, 1400 Independence Ave. SW., Room 6065 South 
Building, Washington, DC 20250-3700; (202) 720- 5627.

Executive Order 12988

    This final rule has been reviewed under 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.

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.

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.

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/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.

How To File a Complaint of Discrimination

    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: program.intake@usda.gov.
    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).

List of Subjects in 9 CFR Part 320

    Meat inspection, Reporting and recordkeeping requirements.

    For the reasons discussed in the preamble, FSIS is amending 9 CFR 
part 320, as follows:

PART 320--RECORDS, REGISTRATION, AND REPORTS

0
1. The authority citation for part 320 continues to read as follows:

    Authority:  21 U.S.C. 601-695; 7 CFR 2.7, 2.18, 2.53


0
2. Amend Sec.  320.1 by adding paragraph (b)(4) to read as follows:


Sec.  320.1  Records required to be kept.

* * * * *
    (b) * * *
    (4)(i) In the case of raw ground beef products, official 
establishments and retail stores are required to keep records that 
fully disclose:
    (A) The establishment numbers of the establishments supplying the 
materials used to prepare each lot of raw ground beef product;
    (B) All supplier lot numbers and production dates;

[[Page 79250]]

    (C) The names of the supplied materials, including beef components 
and any materials carried over from one production lot to the next;
    (D) The date and time each lot of raw ground beef product is 
produced; and
    (E) The date and time when grinding equipment and other related 
food-contact surfaces are cleaned and sanitized.
    (ii) Official establishments and retail stores covered by this part 
that prepare ground beef products that are ground at an individual 
customer's request must keep records that comply with paragraph 
(b)(4)(i) of this section.
    (iii) For the purposes of this section of the regulations, a lot is 
the amount of ground raw beef produced during particular dates and 
times, following clean up and until the next clean up, during which the 
same source materials are used.
* * * * *
0
3. Revise Sec.  320.2 to read as follows:


Sec.  320.2  Place of maintenance of records.

    (a) Except as provided in paragraph (b) of this section, any person 
engaged in any business described in Sec.  320.1 and required by this 
part to keep records must maintain such records at the place where such 
business is conducted, except that if such person conducts such 
business at multiple locations, he may maintain such records at his 
headquarters' office. When not in actual use, all such records must be 
kept in a safe place at the prescribed location in accordance with good 
commercial practices.
    (b) Records required to kept under Sec.  320.1(b)(4) must be kept 
at the location where the raw beef was ground.

0
4. Revise Sec.  320.3 to read as follows:


Sec.  320.3  Record retention period.

    (a) Except as provided in paragraphs (b) and (c) of this section, 
every record required to be maintained under this part must be retained 
for a period of 2 years after December 31 of the year in which the 
transaction to which the record relates has occurred and for such 
further period as the Administrator may require for purposes of any 
investigation or litigation under the Act, by written notice to the 
person required to keep such records under this part.
    (b) Records of canning as required in subpart G of part 318 of this 
chapter, must be retained as required in Sec.  318.307(e); except that 
records required by Sec.  318.302(b) and (c) must be retained as 
required by those sections.
    (c) Records required to be maintained under Sec.  320.1(b)(4) must 
be retained for one year.

    Done in Washington, DC, on: December 14, 2015.
Alfred V. Almanza,
Acting Administrator.
[FR Doc. 2015-31795 Filed 12-18-15; 8:45 am]
BILLING CODE 3410-DM-P



                                                                                                                                                                                           79231

                                           Rules and Regulations                                                                                         Federal Register
                                                                                                                                                         Vol. 80, No. 244

                                                                                                                                                         Monday, December 21, 2015



                                           This section of the FEDERAL REGISTER                    Executive Summary                                     not dependent on the weight of any
                                           contains regulatory documents having general                                                                  contaminated component. FSIS is also
                                                                                                      This rule requires official
                                           applicability and legal effect, most of which                                                                 not requiring that establishments and
                                           are keyed to and codified in the Code of                establishments and retail stores that
                                                                                                   grind raw beef for sale in commerce to                stores that grind raw beef products
                                           Federal Regulations, which is published under                                                                 maintain records of the names, points of
                                           50 titles pursuant to 44 U.S.C. 1510.                   maintain specific information about
                                                                                                   their grinding activities. This rule is               contact, and phone numbers of each
                                           The Code of Federal Regulations is sold by              necessary to improve FSIS’s ability to                official establishment supplying source
                                           the Superintendent of Documents. Prices of              accurately trace the source of foodborne              material because FSIS already has this
                                           new books are listed in the first FEDERAL               illness outbreaks involving ground beef               information in its Public Health
                                           REGISTER issue of each week.                            and to identify the source materials that             Information System (PHIS). Any
                                                                                                   need to be recalled. The recordkeeping                marginal benefit presented by these two
                                                                                                   requirements in this final rule will                  proposed requirements would be
                                           DEPARTMENT OF AGRICULTURE                               greatly assist FSIS in doing so.                      outweighed by the time burden
                                                                                                      FSIS has often been impeded in its                 associated with recording the
                                           Food Safety and Inspection Service                                                                            information. In response to comments,
                                                                                                   efforts to trace ground beef products
                                                                                                   back to a supplier because of the lack of             this rule also differs from the proposed
                                           9 CFR Part 320                                                                                                rule in terms of the place where the
                                                                                                   documentation identifying all source
                                           [Docket No. FSIS–2009–0011]                             materials used in their preparation. On               records must be maintained and the
                                                                                                   July 22, 2014, FSIS published a                       retention period. Under the proposed
                                           RIN 0583–AD46
                                                                                                   proposed rule (79 FR 42464) to require                rule, based on existing recordkeeping
                                           Records To Be Kept by Official                          official establishments and retail stores             requirements (9 CFR 320.1),
                                           Establishments and Retail Stores That                   to maintain records concerning their                  establishments and retail stores would
                                           Grind Raw Beef Products                                 suppliers and source materials received.              have been allowed to keep the required
                                                                                                   Having reviewed and considered all                    records at a business headquarters
                                           AGENCY:  Food Safety and Inspection                     comments received in response to the                  location if the grinding activity is
                                           Service, USDA.                                          proposed rule, FSIS is finalizing the rule            conducted at multiple locations. In
                                           ACTION: Final rule.                                     and making several changes in response                response to comments, however, this
                                                                                                   to comments. Most of the proposed                     rule requires the grinding records to be
                                           SUMMARY:    The Food Safety and                                                                               kept at the location where the beef is
                                                                                                   requirements are retained in this final
                                           Inspection Service (FSIS) is amending                                                                         ground. This change in the final rule
                                                                                                   rule. This final rule requires
                                           its recordkeeping regulations to require                                                                      will save investigators valuable time
                                                                                                   establishments and retail facilities that
                                           that all official establishments and retail                                                                   and will reduce the risk that records
                                                                                                   grind raw beef to keep the following
                                           stores that grind raw beef products for                                                                       will be lost or misplaced. Finally, in
                                                                                                   records: The establishment numbers of
                                           sale in commerce maintain the                                                                                 response to comments, for purposes of
                                                                                                   the establishments supplying the
                                           following records: The establishment                                                                          this rule, FSIS is including the
                                                                                                   materials used to prepare each lot of raw
                                           numbers of establishments supplying                                                                           definition of a lot as set out in the
                                                                                                   ground beef; all supplier lot numbers
                                           material used to prepare each lot of raw                                                                      regulatory text at the end of this
                                                                                                   and production dates; the names of the
                                           ground beef product; all supplier lot                                                                         document (9 CFR 320.1(b)(4)(iii)).
                                                                                                   supplied materials, including beef
                                           numbers and production dates; the                                                                               Under the proposed rule, based on
                                                                                                   components and any materials carried
                                           names of the supplied materials,                                                                              existing regulations (9 CFR 320.3(a)), the
                                                                                                   over from one production lot to the
                                           including beef components and any                                                                             required grinding records would have
                                                                                                   next; the date and time each lot of raw
                                           materials carried over from one                                                                               been required to be maintained for up
                                                                                                   ground beef is produced; and the date
                                           production lot to the next; the date and                                                                      to three years. However, in response to
                                                                                                   and time when grinding equipment and
                                           time each lot of raw ground beef                                                                              comments, FSIS concluded that because
                                                                                                   other related food-contact surfaces are
                                           product is produced; and the date and                                                                         the records required by this rule are
                                                                                                   cleaned and sanitized. These
                                           time when grinding equipment and                                                                              needed primarily to investigate
                                                                                                   requirements also apply when official
                                           other related food-contact surfaces are                                                                       foodborne illness outbreaks, their utility
                                                                                                   establishments and retail stores grind
                                           cleaned and sanitized. These                                                                                  diminishes over time. FSIS consulted
                                                                                                   new source materials at an individual
                                           requirements also apply to raw beef                                                                           with its investigators and public health
                                                                                                   customer’s request.
                                           products that are ground at an                             In response to comments, FSIS is not               experts and determined that the records
                                           individual customer’s request when                      adopting two proposed requirements.                   would rarely be needed after one year.
                                           new source materials are used.                          First, under this final rule,                         Considering this fact and comments
                                           DATES: Effective June 20, 2016.                         establishments and retail stores that                 concerning the burden of keeping
                                           FOR FURTHER INFORMATION CONTACT: Dr.                    grind raw beef products will not have to              records on-site, particularly at retail
                                           Daniel Engeljohn, Assistant                             maintain records concerning the weight                stores, FSIS shortened the retention
                                           Administrator, Office of Policy and                     of each source component used in a lot                period in the final rule to one year after
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                                           Program Development, Food Safety and                    of ground beef. After considering                     the date of the recorded grinding
                                           Inspection Service, U.S. Department of                  comments, FSIS concluded that                         activity.
                                           Agriculture, Washington, DC 20250;                      weighing each component in a lot of                     The final rule will result in storage
                                           Telephone: (202) 205–0495; Fax (202)                    ground beef was time-consuming and                    and labor costs to official establishments
                                           720–2025.                                               offered little food safety benefit because            and retail stores that grind raw beef for
                                           SUPPLEMENTARY INFORMATION:                              contamination in a lot of ground beef is              sale in commerce. Benefits will accrue


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                                           79232               Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations

                                           in terms of averted foodborne illnesses,                               purchasing ground beef. These costs and
                                           less costly outbreaks and recalls, and                                 benefits are listed in Table 1.
                                           increased consumer confidence when

                                                                                                                  TABLE 1—EXECUTIVE SUMMARY TABLE
                                           Costs:
                                               Labor ...................................................    D   $56.6 million annually ($45.8 million to $67.4 million).
                                               Storage ...............................................      D   $2.7 million annually.
                                               Unquantified Costs .............................             D   Non-labor costs associated with recordkeeping for customer-requested grinds.
                                                                                                            D   Potential for slight costs to consumers in the form of ground beef price increases.
                                           Benefits:
                                              Unquantified Benefits .........................               D Benefits to consumers in the form of averted foodborne illnesses as a result of contaminated
                                                                                                              ground beef.
                                                                                                            D Benefits to retailers and official establishments grinding raw beef in the form of less costly food
                                                                                                              safety events, such as outbreaks and recalls.
                                                                                                            D Benefits to official establishments supplying ground beef components in the form of less costly re-
                                                                                                              calls and insulation from costly spillover effects during food safety events.



                                           Background                                                             and receiving and shipping papers.                      In the proposed rule in the present
                                              Under the authority of the Federal                                  With respect to each transaction, the                rulemaking, FSIS explained that shortly
                                           Meat Inspection Act (FMIA) and its                                     records must provide the name or                     after issuing the 2002 Federal Register
                                           implementing regulations (9 CFR 329.1                                  description of the livestock or article,             notice, the Agency began collecting the
                                           and 329.6), FSIS investigates reports of                               the number of outside containers, the                information listed in the Federal
                                           consumer foodborne illness associated                                  name and address of the buyer or seller              Register notice from official
                                           with FSIS-regulated products. FSIS                                     of the livestock or animal, and the date             establishments and retail stores (79 FR
                                           investigators and other public health                                  and method of shipment.                              42465).1 However, as the proposal
                                           officials use records kept at all levels of                               The recordkeeping requirements                    explained, some retail stores and official
                                           the food distribution chain, including                                 contained in the FMIA and 9 CFR part                 establishments still did not maintain
                                           the retail level, to identify the sources                              320 are intended to permit FSIS to trace             records sufficient for traceback, and
                                                                                                                  product, including raw ground beef                   some retail stores did not document or
                                           of outbreaks.
                                              FSIS has often been impeded in these                                product associated with consumer                     maintain supplier information at times
                                           efforts when an outbreak involves                                      foodborne illness, from the consumer, or             other than when FSIS collected samples
                                           ground beef because of a lack of                                       the place where the consumer                         of ground raw beef product from the
                                           documentation identifying all source                                   purchased the product, back through its              stores for E. coli O157:H7 testing.2 As a
                                           materials used in its preparation (79 FR                               distribution chain to the establishment              result, FSIS was, and remains,
                                           42464). In some situations, official                                   that was the source of the product.                  disadvantaged in its foodborne disease
                                           establishments and retail stores have not                              Having this information available will               investigations.
                                                                                                                  make it easier to determine where the                   In 2009, FSIS provided guidance to a
                                           kept adequate records that would allow
                                                                                                                  contamination occurred. Investigators                retail industry association, which was
                                           effective traceback and traceforward
                                                                                                                  should also be able to conduct effective             made available on the FSIS Web site,
                                           activities. Without such records, FSIS
                                                                                                                  traceforward investigations so as to                 stating that retail stores should keep
                                           cannot conduct timely and effective
                                                                                                                  identify other potentially contaminated              appropriate records to aid in
                                           consumer foodborne illness
                                                                                                                  product that has been shipped from the               investigations involving FSIS-regulated
                                           investigations and other public health
                                                                                                                  point of origin of its contamination to              products associated with foodborne
                                           activities throughout the stream of
                                                                                                                  other official establishments, retail                illnesses and other food safety
                                           commerce.
                                                                                                                  stores, warehouses, distributors,                    incidents.
                                              As FSIS also explained in the
                                                                                                                  restaurants, or other firms. FSIS must be               To further address the issue, on
                                           proposed rule, official establishments
                                                                                                                  able to carry out these investigations               December 9–10, 2009, the Food and
                                           and retail stores that grind raw beef
                                                                                                                  using records that should be kept                    Drug Administration (FDA) and FSIS
                                           products for sale in commerce must
                                                                                                                  routinely by official establishments and             held a public meeting to discuss the
                                           keep records that will fully and
                                                                                                                  retail stores.                                       essential elements of product tracing
                                           correctly disclose all transactions
                                                                                                                                                                       systems, gaps in then-current product
                                           involved in their business that are                                       In the proposed rule, FSIS explained
                                                                                                                                                                       tracing systems, and mechanisms to
                                           subject to the FMIA (see 21 U.S.C. 642)                                past efforts it has made to ensure that
                                                                                                                                                                       enhance product tracing systems for
                                           (79 FR 42465). Businesses must also                                    official establishments and retail stores
                                                                                                                                                                       food.3 This meeting was followed on
                                           provide access to, and permit inspection                               that produce raw ground beef maintain
                                           of, these records by FSIS personnel.                                   necessary records. For example, the                    1 FSIS Notice 47–02, November 20, 2002, ‘‘FSIS
                                              The proposed rule also explained that                               proposal explained that in 2002, FSIS                Actions Concerning Suppliers that may be
                                           under 9 CFR 320.1(a), every person,                                    published a Federal Register notice that             Associated with Escherichia coli (E. coli) 0157:H7
                                           firm, or corporation required by 21                                    listed the data that FSIS intended to                Positive Raw Ground Beef Product.’’
                                                                                                                                                                         2 On June 4, 2012, FSIS implemented routine
                                           U.S.C. 642 to keep records must keep                                   collect when any samples of raw ground
                                                                                                                                                                       verification testing for six Shiga toxin-producing E.
                                           records that will fully and correctly                                  beef produced at an official
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                                                                                                                                                                       coli (STEC), in addition to E. coli O157:H7, in raw
                                           disclose all transactions involved in the                              establishment tested positive for E. coli            beef manufacturing trimmings. See Shiga Toxin-
                                           aspects of their business that are subject                             O157:H7 (67 FR 62325, Oct. 7, 2002).                 Producing Escherichia coli in Certain Raw Beef
                                           to the FMIA. Records specifically                                      FSIS also listed the information it                  Products (77 FR 31975, May 31, 2012).
                                                                                                                                                                         3 Comments from this hearing are available at:
                                           required to be kept under 9 CFR                                        intended to gather from retail stores at             http://www.regulations.gov/
                                           320.1(b) include, but are not limited to,                              the time it collected a sample of raw                #!searchResults;rpp=10;po=0;s=FDA-2009-N-
                                           bills of sale, invoices, bills of lading,                              ground beef for E. coli O157:H7 testing.             0523;dct=PS. A transcript of this meeting is



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                                                            Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations                                        79233

                                           March 10, 2010, by an FSIS public                       including specific examples (79 FR                    equipment has prevented or delayed
                                           meeting that discussed its procedures                   42464).                                               FSIS in identifying the source of
                                           for identifying suppliers of source                        Since the review in the proposed rule,             outbreaks, as well as other product that
                                           material used to produce raw beef                       FSIS has completed nine ground beef                   might be adulterated. The cleaning and
                                           product that FSIS found positive for E.                 outbreak investigations. Of these nine                sanitizing of equipment used to grind
                                           coli O157:H7. FSIS sought input from                    investigations, grinding records were                 raw beef is important because it
                                           meeting participants on ways to                         available and complete in four of them                prevents the transfer of E. coli O157:H7
                                           improve its procedures for identifying                  and incomplete or not available in five.              and other bacteria from one lot of
                                           product that may be positive for E. coli                When records were available and                       product to another.
                                           O157:H7.                                                complete, FSIS was able to request a
                                                                                                                                                         Proposed Rule
                                              Despite these actions, as explained in               recall of product from the supplying
                                           the proposed rule, some official                        establishment in one of four                             On July 22, 2014 (79 FR 42464), FSIS
                                           establishments and retail stores still did              investigations. For the remaining three,              proposed to amend the Federal meat
                                           not keep and maintain the records                       two led to store level recalls. For these             inspection regulations to require that all
                                           necessary for effective investigation by                two, FSIS did not request recalls at                  official establishments and retail stores
                                           FSIS. With this history in mind, FSIS                   supplier establishments because in one                that grind raw beef for sale keep records
                                           conducted a retrospective review of 28                  investigation, the trim for retail product            disclosing the following: The names,
                                           foodborne disease investigations from                   had over ten suppliers, and in the other,             points of contact, phone numbers, and
                                           October 2007 through September 2011                     FSIS was not able to narrow down the                  establishment numbers of suppliers of
                                           in which beef products were ground or                   list of suppliers because the retailer did            source materials used in the preparation
                                           re-ground at retail stores.4 When records               not clean up in between grinding                      of each lot of raw ground beef; the
                                           were available and complete, enabling                   different products. FSIS did not request              names of each source material,
                                           FSIS to identify specific production in                 a recall for the third case in which                  including any components carried over
                                           an official establishment, the Agency                   records were available and complete                   from one production lot to the next; the
                                           was able to request a recall of product                 because there were multiple products                  supplier lot numbers and production
                                           from the supplying establishment in six                 and multiple federal establishments                   dates; the weight of each beef
                                           of eleven investigations. In contrast,                  involved, and FSIS was not able to                    component used in each lot (in pounds);
                                           when records were not available or                      identify the product associated with the              the date and time each lot was
                                           incomplete, FSIS was able to request a                  illnesses or the supplying                            produced; and the date and time when
                                           product recall only two of seventeen                    establishment. In the five investigations             grinding equipment and other related
                                           times. These results confirmed FSIS’s                   where records were not available or                   food-contact surfaces were cleaned and
                                           experience in specific cases where the                  incomplete, FSIS was unable to request                sanitized. FSIS also proposed that
                                           presence of records at the retail level                 a recall from a supplying establishment.              official establishments and retail stores
                                           was often instrumental in identifying                      The investigations reviewed in the                 would have to comply with these
                                           the source of an outbreak, as well as the               proposed rule, and those reviewed since               requirements with respect to raw beef
                                           implicated products that should be                      the proposed rule, confirm the Agency’s               products ground at an individual
                                           recalled. The proposed rule includes a                  findings that the records kept by official            customer’s request when new source
                                           fuller description of this review,                      establishments and retail stores vary in              materials are used.
                                                                                                   type and quality and are often                           FSIS posted the sample grinding log
                                           available at: http://www.regulations.gov/               incomplete or inaccurate. Overall, FSIS               record below (Table 2) on its Web site
                                           #!searchResults;rpp=10;po=0;s=FDA-2009-N-               has concluded that voluntary                          in late 2011 and included it with the
                                           0523;dct=O.                                             recordkeeping by retail stores that grind             2009 guidance and the proposed rule.
                                              4 Ihry, T., White, P., Green, A., and Duryea, P.
                                                                                                   raw beef has been insufficient, as                    FSIS proposed requiring the items in the
                                           Review of the Adequacy of Ground Beef Production
                                           Records at Retail Markets for Traceback Activities
                                                                                                   evidenced by continuing outbreaks                     sample record marked with asterisks.
                                           During Foodborne Disease Investigations. Poster         linked to pathogens in raw ground beef                The proposed rule specifically stated
                                           presented at: Annual Conference of the Council of       that FSIS cannot trace back to the                    that the information under the other
                                           State and Territorial Epidemiologists; 2012, June 4–    source. The lack of specific information              column headings would not be required,
                                           6; Omaha, NE. A copy of this document is available
                                           at: http://www.fsis.usda.gov/wps/wcm/connect/
                                                                                                   about supplier lot numbers, product                   but that some official establishments
                                           87caa3f9-0c76-45c7-be4e-84d73151ed9e/RD-2009-           codes, production dates, and the                      and retail stores might choose to keep
                                           0011-072114.pdf?MOD=AJPERES.                            cleaning and sanitizing of grinding                   and maintain this information.
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                                                                                                                                                                       79234
                                      Table 2: Grinding log record that FSIS posted (2009)

                                                                                             NEW WAVE STORE




                                                                                                                                                                       Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations
15:24 Dec 18, 2015




                                                                                              123 Main Street

                                                                                           Anytown, USA, Zip Code

                                                                       FRESH GROUND BEEF PRODUCTION LOG/TRACKING LIST
Jkt 238001




                                      Employee Name                                Today's Date
PO 00000




                            Date and       Lot/Batch   Exact      Package    Amount          Production   Manufacturer   Supplier   Estab.     Date and     Comments
                            Time of        #(lot=      Name/      Size of    (in lbs) of     Code of      Name of        Lot #s,    Info.      Time
Frm 00004




                            Grind*         same        Type       Product    Source          Product      Source         Product    from       Grinder
                                           source      of         Produced   Material        Produced     Material       Code       Label of   and
                                           material)   Product               Used in                      Used for       and/or     Source     Related
Fmt 4700




                                                       Produced              Each Lot,                    Product        Pack       Material   FCSs
                                                                             including                    Produced*      Date of    Used       Cleaned
Sfmt 4725




                                                                             Carryover*                                  Source     (Est.#,    and
                                                                                                                         Material   ph#,       Sanitized*
                                                                                                                         Used*      contact
E:\FR\FM\21DER1.SGM




                                                                                                                                    info)*
21DER1




                            Signature of Store Management Reviewer                                         Date



                          *Information that would have been required by the proposed rule.


ER21DE15.000</GPH>


                                                            Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations                                      79235

                                           Final Rule                                              contact surfaces are cleaned and                      official establishment supplying source
                                             As stated above, the final rule is                    sanitized. These requirements also                    material were unnecessary given that
                                           mostly consistent with the proposed                     apply to raw ground beef products that                FSIS already possesses this information
                                           rule. It requires official establishments               are prepared at an individual customer’s              through the establishment profiles in
                                           and retail stores that grind raw beef                   request when new source materials are                 PHIS. In addition, FSIS concluded, in
                                           products to maintain the following                      used. If new source materials are not                 response to the comments submitted,
                                           records: The establishment numbers of                   used, there is no reason to record the                that weighing each component in a lot
                                           the establishments supplying the                        customer-requested grind separately.                  of ground beef was time-consuming and
                                           material used to prepare each lot of raw                  The final rule will not require records             offered little food safety benefit.
                                           ground beef; all supplier lot numbers                   concerning the names, points of contact,              Contamination occurs in a lot of ground
                                           and production dates; the names of the                  and phone numbers of each official                    beef regardless of the weight of the
                                           supplied materials, including beef                      establishment supplying source material               contaminated component.
                                           components and any materials carried                    or the weight of each source component.                 In conformance with these changes,
                                           over from one production to the next;                   In consideration of comments that it                  FSIS has updated its sample grinding
                                           the date and time each lot is produced;                 received, FSIS has concluded that the                 log as pictured in Table 3 below to
                                           and the date and time when grinding                     records concerning the names, points of               reflect the requirements of this final
                                           equipment and other related food-                       contact, and phone numbers of each                    rule.
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                      proposed rule with respect to the place




                                                                                                                                                                                                              79236
                        The final rule also differs from the




                                                                                                                                                                                                              Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations
15:24 Dec 18, 2015




                                                                 Table 3: Sample Grinding log with final rule requirements.
Jkt 238001




                                                                                                                                NEW WAVE STORE

                                                                                                                                 123 Main Street
PO 00000




                      of the required records. Based on 9 CFR
                      of maintenance and the retention period




                                                                                                                              Anytown, USA, Zip Code
Frm 00006




                                                                                                               FRESH GROUND BEEF PRODUCTION LOG/TRACKING LIST

                                                                 Employee Name                                 Today's Date
Fmt 4700




                                                                 Date and Time of   Manufacturer Name of          Supplier Lot #s, Product     Est. Number(s) of Est.   Date and Time Grinder      Comments
Sfmt 4700




                                                                 Grind              Source Material Used for      Code and/or Pack Date of     providing source         and Related FCSs Cleaned
                                                                                    Product Produced              Source Material Used         material                 and Sanitized
E:\FR\FM\21DER1.SGM




                      required records to be kept at the place
                      320.2, the proposed rule would have
21DER1




                                                                 Signature of Store Management Reviewer                                      Date




ER21DE15.001</GPH>


                                                            Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations                                          79237

                                           where the business, in this case the                    supercenters, convenience stores,                     grinds over thirty pounds. A retail trade
                                           grinding activity, is conducted, unless                 wholesalers, and restaurants.                         group recommended that its members
                                           the business is conducted at multiple                      Response: This final rule applies to all           perform customer-requested grinds at
                                           locations, in which case the proposal                   official establishments and retail stores             the end of the day or during a clear
                                           would have allowed the records to be                    that grind raw beef products for sale to              production cycle break.
                                           maintained at a business’s headquarters                 consumers in normal retail quantities.                   Response: Customer-requested grinds
                                           office. In response to comments, FSIS                   The rule covers supermarkets and other                present the same food safety risk as
                                           has concluded that keeping the required                 grocery stores, meat markets, warehouse               other raw ground beef. Retailers should
                                           information at the location where the                   clubs, cooperatives, supercenters,                    keep customer-requested grinds separate
                                           beef is ground will save investigators                  convenience stores, and wholesalers, if               and must record the information
                                           time and reduce the risk that records are               they grind raw beef product.                          required in this rule when new source
                                           misplaced when they are moved. This                        FSIS is not applying this final rule to            materials are used for customer-
                                           rule, therefore, establishes a new 9 CFR                restaurants. Only a small percentage of               requested grinds. It is also in the store’s
                                           320.2(b), which requires that all the                   all raw beef grinding occurs at                       interest to perform a clean up before and
                                           information required by this final rule                 restaurants and only on a very small                  after customer-requested grinds. If the
                                           be kept at the location where the beef is               scale. It is thus likely that any outbreak            source is not clear, or if there is no clean
                                           ground.                                                 traced to a restaurant that grinds its own            up, traceback to the supplier will be
                                              Based on 9 CFR 320.3(a), the                         raw beef will be traceable to a specific              impossible. The retailer would have
                                           proposed rule would have required that                  supplier.                                             produced the product associated with
                                           the proposed grinding records be                                                                              the outbreak, and in such
                                                                                                   2. Content of Records
                                           retained for a period of two years after                                                                      circumstances, FSIS will have to request
                                                                                                      Comment: Retail organizations, a food              that the retailer recall product. Also, if
                                           December 31 of the year in which the                    technology company, and a beef brand
                                           transaction giving rise to the record                                                                         the source is not clear, FSIS will likely
                                                                                                   recommended reducing costs by                         have to request that the retailer recall
                                           (grinding) occurred. In response to                     removing from the proposed rule the
                                           comments discussed below, FSIS                                                                                more product than would be necessary
                                                                                                   requirement to weigh each source                      if the retailer had recorded the
                                           concluded that because the vast                         component. These commenters stated
                                           majority of ground beef is consumed                                                                           necessary information.
                                                                                                   that the proposed requirement was time-                  FSIS agrees that customer-requested
                                           within several months of its production,                consuming, disruptive to workflow,                    grinds present unique challenges but
                                           a one-year retention period is adequate                 unfeasible with current equipment, and                estimates that the benefits of being able
                                           to trace the source of any foodborne                    offered no public health benefit.                     to rapidly identify a customer-grind
                                           disease outbreak involving raw ground                      Response: FSIS agrees that the                     associated with an outbreak outweigh
                                           beef. Accordingly, this final rule creates              requirement to weigh each source                      the recordkeeping and clean-up costs.
                                           a 9 CFR 320.3(c) which requires that                    component is not necessary. If a                         Comment: Two food-safety non-
                                           official establishments and retail stores               foodborne illness outbreak occurs, the                profits, a grocery store chain, and a
                                           covered by this rule retain the required                weight of a source component in a lot                 consumer group stated that the name of
                                           records for one year.                                   of ground beef is not significant in                  the retail product should be recorded to
                                              The final rule also makes technical                  tracing the material back to the                      assist in identifying product subject to
                                           changes to 9 CFR 320.2 and 320.3 to                     suppliers. Also, any amount of                        recall. One individual and a food-safety
                                           improve readability.                                    adulterated source material in a lot of               non-profit stated that retail products
                                           Summary of Comments and Responses                       ground beef would adulterate the                      should include specific day or
                                                                                                   product. Accordingly, FSIS has removed                production lot codes to assist in tracing
                                              FSIS received 40 comments on the                     this provision from the final rule and                products back to specific grinding lots.
                                           proposed rule from individuals,                         has adjusted the paperwork burden                        Response: FSIS does not believe that
                                           retailers, beef producers and processors,               estimates and costs accordingly.                      including retail product names on
                                           beef industry and retail trade groups,                     Comment: An independent grocers’                   records listing source materials used to
                                           consumer advocacy groups, an                            trade group suggested removing the                    produce those products is practical.
                                           organization representing food and drug                 requirement to record supplier lot                    Products from different source materials
                                           officials, a State department of                        numbers and production dates.                         may have the same name, e.g., 80/20
                                           agricultural and rural development, a                      Response: Supplier lot numbers and                 Ground Chuck. In addition, products
                                           food technology company, and two                        production dates are necessary to                     from the same source materials may be
                                           members of Congress. Most of the                        identify product at a supplier’s location             marketed differently. For example,
                                           commenters supported the proposed                       that may be associated with an outbreak.              packages of ‘‘Bob’s Ground Beef’’ and
                                           rule. Industry groups supported                         By including supplier lot numbers and                 ‘‘Jan’s Ground Beef’’ may originate from
                                           recording information for effective                     production dates, investigators can more              the same lot of source materials, despite
                                           investigation in the event of a foodborne               easily and quickly determine the source               bearing different retail names.
                                           illness outbreak but stated that the costs              of a foodborne illness outbreak and limit                FSIS is also not requiring official
                                           of compliance were higher than                          the amount of product recalled.                       establishments and retail stores to label
                                           estimated, and that several pieces of                      Comment: Industry groups generally                 retail products with timestamps or
                                           information were unnecessary or overly                  opposed recordkeeping for customer-                   production lot codes to identify them
                                           burdensome. A summary of the relevant                   requested grinds. They stated that it was             with the specific lot or lots of ground
                                           issues raised by the commenters and the                 impractical to clean grinding equipment               beef from which they were produced.
                                           Agency’s responses follows.                             between customer requests, meat case                  Retail ground beef products can usually
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                                                                                                   items usually lack supplier information,              be traced back to their specific grinding
                                           1. Covered Entities
                                                                                                   and public health benefits from logging               lots through stores’ inventory data, the
                                             Comment: Consumer and retail trade                    these grinds would be limited. One meat               product’s date and time of sale, and
                                           groups stated that the rule should apply                industry trade group suggested only                   information stored on customers’
                                           to supermarkets, grocery stores, meat                   requiring the proposed recordkeeping                  shopper cards. Once a retail product is
                                           markets, warehouse clubs, cooperatives,                 provisions for customer-requested                     traced back to the grinding lot or lots,


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                                           79238            Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations

                                           the records required by this final rule                 contamination. Countries that export                   in-person food safety education through
                                           will enable FSIS investigators to                       beef to the United States may choose to                the mobile Food Safety Discovery Zone).
                                           identify the source materials, suppliers,               establish recordkeeping requirements                      Nonetheless, recordkeeping by retail
                                           and production lots from which the                      consistent with this rule. However, they               establishments will more quickly and
                                           product was produced.                                   may also have other means to track the                 efficiently address the concerns (i.e.,
                                             Comment: Industry groups opposed                      necessary information.                                 traceback and identifying sources of
                                           recording the names, points of contact,                                                                        human illness when beef ground in
                                           and phone numbers of suppliers                          5. Other Species
                                                                                                                                                          retail stores is the vehicle for those
                                           because FSIS already has this                              Comment: Individual commenters                      illnesses) raised in this final rule.
                                           information through PHIS.                               and food safety groups believed that the
                                             Response: FSIS agrees that the names,                 rule should apply to ground product                    7. Supplier Process Control Actions
                                           points of contact, and phone numbers of                 produced from swine, poultry, lamb,                       Comment: One individual urged
                                           official establishments supplying source                and turkey.                                            official establishments to improve
                                           materials are already located in the                       Response: FSIS issued the proposed                  contamination control at slaughter. A
                                           establishment profiles within PHIS.                     rule to address deficiencies in                        meat products company that did not
                                           Therefore, the establishment numbers of                 recordkeeping that hampered                            support the rule believed that suppliers
                                           suppliers provide sufficient information                investigations into foodborne illness                  cannot control E. coli, but that the
                                           to FSIS, and FSIS has removed those                     investigations involving raw ground                    answer is not more recordkeeping
                                           pieces of information from the                          beef. Between 2007 and 2013, FSIS                      because that does not address the core
                                           recordkeeping requirements, leaving the                 investigated 130 outbreaks of human                    problem, which is the interdependent
                                           requirement that official establishments                illness. Of those, 31 (24 percent) were                relationship between animals and E.
                                           and retail stores keep the establishment                linked to beef ground at a retail venue.               coli.
                                           number of their suppliers of source                     FSIS did not propose that new records
                                           materials. FSIS has updated its                                                                                   Response: FSIS is continuing to
                                                                                                   be maintained for ground products other
                                           paperwork burden and costs estimates                                                                           address process control actions that
                                                                                                   than beef because the Agency is most
                                           to reflect this change.                                                                                        should be taken by beef suppliers to
                                                                                                   often impeded in its efforts to trace back
                                                                                                                                                          control E. coli. For example, FSIS made
                                           3. Use of Sample Grinding Log                           and identify sources of human illness
                                                                                                                                                          available updated guidance on testing
                                                                                                   when beef ground in retail stores is the
                                              Comment: A consumer group                                                                                   and high event periods 6 in 2013 and
                                                                                                   vehicle for those illnesses. FSIS
                                           recommended that FSIS provide a                                                                                implemented new traceback activities in
                                                                                                   considers the comments requesting
                                           sample grinding log containing all of the                                                                      2014.7 However, while better process
                                                                                                   similar requirements for other ground
                                           required information. A grocery store                                                                          control may reduce the incidence of E.
                                                                                                   product to be outside the scope of this
                                           chain and retail trade group stated that                                                                       coli O157:H7-adulterated ground beef, it
                                                                                                   rule.
                                           grinders should be able to create their                                                                        will not address the issue of official
                                           own logs, so long as all required                       6. Consumer Education                                  establishments and retail stores not
                                           information is included. A retail trade                   Comment: A meat processor, a meat                    keeping adequate records that allow
                                           group questioned whether grinders                       products company, and two individuals                  effective traceback and traceforward
                                           would be required to use the sample log                 stated that more outreach was needed to                activities. Without the records required
                                           shown above.                                            educate consumers on how to properly                   by this final rule, FSIS cannot conduct
                                              Response: While FSIS has provided a                  handle and cook meats.                                 timely and effective consumer
                                           sample grinding log that is depicted                      Response: FSIS promotes consumer                     foodborne illness investigations and
                                           above, FSIS is not specifying in the final              awareness of food safety issues and                    other public health activities through
                                           rule how official establishments and                    encourages proper food preparation                     the stream of commerce.
                                           retail stores must record the required                  practices. For example, FSIS posts                     8. Implementation
                                           information. Entities may record the                    consumer food safety information on its
                                           required information as they see fit, so                Web page.5 The posted information                         Comment: An independent grocers’
                                           long as the records of the required                     includes the kind of bacteria that can be              trade group recommended a two-year
                                           information are maintained in                           found in ground beef, specific                         delayed effective date for small
                                           accordance with 9 CFR 320.2 and 320.3.                  information as to why the E. coli                      businesses to comply with the rule.
                                                                                                   O157:H7 bacterium is of special concern                Alternatively, the commenter stated that
                                           4. Imports                                                                                                     small businesses should be exempt from
                                                                                                   in ground beef, and the best way to
                                              Comment: One individual stated that                                                                         the rule’s requirements altogether.
                                                                                                   handle raw ground beef when shopping
                                           the proposed rule should apply to                                                                              Similarly, a retail trade group believed
                                                                                                   and when at home. This Web page also
                                           imported beef.                                                                                                 that small retailers would need more
                                              Response: FSIS’ regulations do not                   contains the Food Safe Families
                                                                                                   Campaign guidelines to keep food safe,                 time for outreach and training and that
                                           apply directly to establishments in                                                                            implementation would take longer than
                                           foreign countries, and retail stores in                 which tells consumers to cook ground
                                                                                                   beef to a safe minimum internal                        anticipated by the proposed rule
                                           foreign countries are not eligible to
                                           export product to the United States. To                 temperature of 160 °F (71.1 °C) as
                                                                                                                                                            6 Compliance Guideline for Establishments
                                           be eligible to export raw beef product to               measured with a food thermometer.
                                                                                                                                                          Sampling Beef Trimmings for Shiga Toxin-
                                           the United States, countries must                       FSIS also provides food safety education               Producing Escherichia coli (STEC) Organisms or
                                           maintain an equivalent inspection                       in other forms (e.g., FSIS has continued               Virulence Markers, available at: http://
                                           system for beef. Therefore, in the event                to work with the Ad Council to launch                  www.fsis.usda.gov/wps/wcm/connect/e0f06d97-
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                                                                                                   food safety public service                             9026-4e1e-a0c2-1ac60b836fa6/Compliance-Guide-
                                           of Salmonella or shiga-toxin producing                                                                         Est-Sampling-STEC.pdf?MOD=AJPERES.
                                           E. coli (STEC) outbreaks, countries that                announcements, and FSIS staff provide                    7 FSIS Directive 10,010.3, Traceback Methodology

                                           ship beef to the United States will need                                                                       for Escherichia Coli (E. Coli) 0157:H7 in Raw
                                                                                                      5 FSIS food safety guidance for meat preparation,   Ground Beef Products and Bench Trim, available at:
                                           to have traceback and traceforward                      available at: http://www.fsis.usda.gov/wps/portal/     http://www.fsis.usda.gov/wps/wcm/connect/
                                           systems for beef products that allow the                fsis/topics/food-safety-education/get-answers/food-    ae5e81d0-c636-4de1-93f3-7a30d142ae69/
                                           country to identify the source of                       safety-fact-sheets/meat-preparation.                   10010.3.pdf?MOD=AJPERES.



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                                                            Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations                                                79239

                                           because of the need to create or modify                 webinars to explain the requirements of               food safety officials asked how FSIS
                                           records forms.                                          this final rule and answer questions                  would enforce the rule and urged FSIS
                                              Response: FSIS has provided sample                   from official establishments, retailers,              to work more cooperatively with State
                                           grinding logs in this rule and the                      and other organizations. FSIS will also               and local food safety agencies. The
                                           proposed rule. Small businesses may                     provide guidance to small businesses                  commenter also recommended that local
                                           use these logs, or any other                            through its Small Plant Help Desk and                 officials have access to the new records,
                                           recordkeeping system they wish, to                      Small Plant News newsletter, and at                   as they are often involved at the earliest
                                           record the required information. FSIS                   industry conferences, exhibitions and                 stages of an outbreak.
                                           believes that the recordkeeping                         workshops.                                               Response: The FMIA provides FSIS
                                           requirements are straightforward and do                                                                       with authority to require specified
                                           not require extensive training or                       10. Retention and Maintenance of
                                                                                                                                                         persons, firms, and corporations to keep
                                           guidance materials. FSIS has also not                   Records
                                                                                                                                                         records that will fully and correctly
                                           adopted the proposed requirements that                     Comment: A food-safety non-profit                  disclose all transactions involved in
                                           grinders record and maintain records of                 organization suggested that records                   their businesses subject to the FMIA and
                                           the weight of each source material used                 required under this rule be retained for              to provide access to facilities, inventory,
                                           in a grinding lot, and the names, points                at least ninety days. A grocery store                 and records (21 U.S.C. 642). If official
                                           of contact, and phone numbers of each                   chain believed six-to-twelve months                   establishments do not maintain the
                                           official establishment supplying source                 would be adequate. A retail trade group               required records, FSIS will issue
                                           material.                                               believed six months was appropriate.                  noncompliance records. FSIS may also
                                              In addition, as is discussed above,                  The latter two commenters mentioned                   take any regulatory control actions as
                                           FSIS has advised official establishments                that frozen beef should be consumed                   defined in 9 CFR 500.1(a), including the
                                           and retailers to maintain these types of                within three to four months.                          tagging of product, equipment, or areas.
                                           records since 2002. Nonetheless, in                        Response: While ground beef is safe                   FSIS personnel conduct in-commerce
                                           response to comments, this final rule                   indefinitely if kept frozen, it will lose             surveillance related to wholesomeness,
                                           provides that retailers and official                    quality over time. FSIS recommends                    adulteration, misbranding, sanitation,
                                           establishments will have 180 days from                  consuming fresh ground beef within two                and recordkeeping.10 When this rule
                                           the date of publication of this final rule              days and frozen ground beef within four               becomes final, FSIS compliance
                                           to comply with its requirements. This                   months.9 These recommendations                        investigators will verify that retail
                                           effective date should provide industry                  suggest that records documenting the                  grinders meet the recordkeeping
                                           sufficient time to comply with the                      grinding of raw beef need only be kept                requirements. If compliance
                                           requirements because FSIS has                           for a short period of time. However, the              investigators find they do not, they may
                                           simplified the requirements originally                  Agency is aware that consumers do not                 issue a Notice of Warning to the retail
                                           proposed, and FSIS will ensure that                     always follow such recommendations,                   store.
                                           establishments and retailers are aware of               sometimes keeping ground beef in their                   If FSIS personnel find noncompliance
                                           the new requirements through the                        freezers for up to a year, for example.               at an official establishment, the Agency
                                           outreach activities discussed below and                 FSIS is therefore requiring in the final              could issue non-compliance reports,
                                           through partnering with the States and                  rule that official establishments and                 letters of warning, or request the
                                           other organizations, such as retail                     retailers maintain the prescribed records             Department of Justice to initiate a civil
                                           organizations.                                          for one year (9 CFR 320.3).                           proceeding in Federal court to enjoin
                                                                                                      Comment: A trade group representing
                                           9. Training                                                                                                   the defendant from further violations of
                                                                                                   food safety officials stated that records
                                                                                                                                                         the applicable laws and regulations. If
                                              Comment: One consumer group                          should always be maintained at the
                                                                                                                                                         FSIS personnel find noncompliance at a
                                           recommended face-to-face contact by                     location where the beef was ground.
                                                                                                                                                         retail facility, the Agency may issue
                                           FSIS with entities that grind raw beef to                  Response: This final rule amends 9
                                                                                                                                                         notices of warning or request the
                                           explain the rule’s requirements. A beef                 CFR 320.2 to require that official
                                                                                                                                                         Department of Justice to initiate a civil
                                           producers’ trade group encouraged FSIS                  establishments and retail stores
                                                                                                                                                         proceeding to enjoin the defendant from
                                           to conduct outreach through webinars                    maintain the required records at the
                                                                                                                                                         further violations of the applicable laws
                                           and by attending industry meetings.                     place where the raw beef is ground. This
                                                                                                                                                         and regulations.
                                           One individual stated that operators                    approach, along with the shorter record
                                                                                                                                                            States with their own meat and
                                           should be trained to understand the                     retention period being required in 9 CFR
                                                                                                                                                         poultry inspection (MPI) programs will
                                           risks of E. coli in grinding. Another                   320.3, balances the burden on retailers
                                                                                                                                                         need to be aware of the requirements of
                                           individual suggested more training on                   of storing records for the necessary
                                                                                                                                                         this rule and are required to enforce
                                           keeping logs, proper attire, and hand-                  period of time with the needs of
                                                                                                                                                         requirements ‘‘at least equal to’’ the
                                           washing. A State agriculture department                 investigators to have such records
                                                                                                                                                         Federal inspection program. Therefore,
                                           believed it would incur costs associated                available at the grinding location.
                                                                                                                                                         they will need to require that
                                           with responding to questions from                       11. Enforcement                                       establishments under State inspection
                                           grinders and training State personnel to                                                                      maintain records consistent with what
                                                                                                     Comment: Three individuals stated
                                           field such questions appropriately.                                                                           FSIS is requiring.
                                              Response: As noted above, the                        that FSIS should assess additional fines
                                                                                                   or penalties to enforce the final rule’s                 FSIS will also explore ways to partner
                                           recordkeeping requirements in the final                                                                       with States, with or without MPI
                                           rule are straightforward and do not                     requirements. A consumer group
                                                                                                   recommended FSIS perform verification                 programs, so that State employees can
                                           require extensive training or guidance                                                                        provide information about the
                                           materials. FSIS will update its                         checks at retailers to monitor
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                                                                                                   compliance. A trade group representing                recordkeeping requirements to grocery
                                           Sanitation Guidance for Beef Grinders,8                                                                       stores, help them to keep logs in the
                                           which includes sample grinding logs                       9 FSIS Ground Beef and Food Safety, available at:   most efficient and effective way
                                           and instructions, and will hold                         http://www.fsis.usda.gov/wps/portal/fsis/topics/
                                                                                                   food-safety-education/get-answers/food-safety-fact-     10 FSIS Directive 8080.1, Rev. 4, Methodology for
                                             8 Availableat: http://www.fsis.usda.gov/shared/       sheets/meat-preparation/ground-beef-and-food-         Conducting In-Commerce Surveillance Activities,
                                           PDF/Sanitation_Guidance_Beef_Grinders.pdf.              safety/CT_Index.                                      April 24, 2014.



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                                           79240            Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations

                                           possible, and provide other information                 but preserves the information needed by               establishments and retail stores that
                                           that will enhance the efficiency and                    investigators.                                        grind raw beef. The 2008 study found
                                           effectiveness of store efforts. FSIS                       Comment: A grocery store chain                     that 74 percent of chain retail stores and
                                           intends to provide information to State                 disagreed with FSIS’s estimates of                    12 percent of independent retail stores
                                           officials about the grinding logs                       grinds per day and average number of                  kept grinding logs. Of the stores that
                                           requirement during regular monthly                      suppliers at retail, suggesting that beef             kept grinding logs, the study reported
                                           Webinars that FSIS conducts for State                   is ground every day, several times per                that 78 percent of those logs were
                                           MPI Directors and State HACCP                           day as needed, and with several                       incomplete (79 FR 42471). Although
                                           Contacts and Coordinators.                              different cases of raw material. A retail             insufficient voluntary recording is one
                                              FSIS also routinely cooperates with                  trade group estimated more average                    impetus for this rule, FSIS is not aware
                                           State and local authorities to conduct                  grinds at retail per day than FSIS’s                  of any instance when official
                                           effective foodborne illness                             estimate, stating that its average member             establishments and retail stores that
                                           investigations, including by sharing                    grinds four times per day. A State                    were keeping necessary records
                                           epidemiological data, records, and                      agriculture department and a beef                     discarded source material in lieu of
                                           investigative resources. FSIS intends to                producers’ trade group urged further                  recording necessary records. Therefore,
                                           provide information to State and local                  study of the economic impact of the rule              FSIS concludes that the costs of
                                           authorities during the course of these                  on small businesses, including feedback               recordkeeping will rarely be greater than
                                           illness investigations about the role that              from industry. A retail trade group                   the costs of discarding bench trim, and
                                           grinding logs can play in facilitating                  estimated that the time needed for the                that the amount of product discarded as
                                           these investigations.                                   proposed recordkeeping is much higher                 a result of the rule should be negligible.
                                                                                                   per respondent per year than estimated
                                           12. Grinding Frequency and Time                         by FSIS, suggesting that a conservative               14. Effect on Small Businesses
                                           Burden                                                  estimate would be 214 hours per year.                    Comment: An independent grocers’
                                                                                                      Response: FSIS has taken into account              trade group stated that the proposed
                                              Comment: To reduce costs, a grocers’
                                                                                                   comments on the amount of time                        rule would have a significant economic
                                           trade group stated that FSIS should
                                                                                                   required for recordkeeping and made
                                           require records only for all source                                                                           impact on a substantial number of small
                                                                                                   adjustments to its cost estimate. For the
                                           materials used in grinds during a single                                                                      entities, and, therefore, FSIS must
                                                                                                   final estimates, FSIS adjusted the
                                           production day, requiring a new log for                                                                       conduct an initial regulatory flexibility
                                                                                                   average number of recordkeeping tasks
                                           production that would begin only after                                                                        analysis.
                                                                                                   per day at official establishments and
                                           the end-of-day full cleaning of the                                                                              Response: While the rule will affect a
                                                                                                   retail stores from one to a range of four-
                                           grinding equipment. Several                             to-five-and-a-half, plus an additional                substantial number of small businesses,
                                           commenters also stated that many retail                 task if an entity conducts a grind                    the cost of complying with the proposed
                                           stores grind several times per day and                  composed of only trim. FSIS also                      regulations will be relatively small on a
                                           may use several different suppliers,                    adjusted the assumed time required to                 per firm basis. FSIS has provided
                                           significantly increasing recordkeeping                  complete a record at official                         guidance and a sample grinding log,
                                           costs.                                                  establishments and retail stores to                   which FSIS will update as appropriate.
                                              Response: In the proposed rule, FSIS                 account for multiple source materials,                Similar guidance is available from other
                                           considered requiring documentation of                   from 30-to-90 seconds to one minute for               providers, including industry
                                           information on a weekly basis, but                      grinds not including trim, two minutes                associations.11 Entities can use these
                                           rejected this approach because it would                 for grinds including trim and other                   materials to minimize the costs of their
                                           be difficult to differentiate between lots              ground beef components, and six-to-ten                recordkeeping programs. In addition, as
                                           ground from different suppliers                         minutes for trim-only grinds. Trim-only               is discussed above, FSIS will hold
                                           throughout the week (79 FR 42469). The                  grinds are usually composed of trim                   webinars to provide small businesses
                                           same holds true for daily logs. In either               from different suppliers and production               additional information on the rule and
                                           situation, investigators would be unable                lots. Therefore, more time is needed to               will publish information through its
                                           to effectively conduct traceback and                    document the required information as                  Small Plant Help Desk and Small Plant
                                           traceforward activities in the event of an              compared to other grinding activities. In             News newsletter. The fact that a number
                                           outbreak because of limited detail. FSIS                updating these estimates, FSIS has taken              of small firms already maintain
                                           is not dictating how often the required                 into account, in addition to the                      adequate grinding records suggests that
                                           information must be physically                          comments, the changes in the final rule               the cost of the practice is not prohibitive
                                           recorded. Under the final rule, the                     concerning required records.                          to doing business.
                                           required information must be recorded                   Specifically, FSIS is using the low end               15. Definition of a Lot of Ground Beef
                                           whenever any of the information                         of time estimates from the comments
                                           required for the lot of product being                   because, for the final rule, FSIS has                    Comment: A beef industry trade group
                                           ground changes. For example, if an                      significantly reduced the information                 commented that some ground beef
                                           entity uses the same source material for                required to be kept compared to the                   producers have different definitions for
                                           multiple grinds throughout the day, it                  proposed rule.                                        ‘‘lots’’ or ‘‘batches’’ of ground beef.
                                           would only need to record the source
                                           material information (9 CFR                             13. Waste                                                11 Food Marketing Institute, Comprehensive

                                           320.1(b)(4)(i)(A)–(C)) once but would                     Comment: Two individuals and an                     Guide Meat Ground at Retail Recordkeeping and
                                           need to record the date and time of each                independent grocers’ trade group stated               Sanitation, available at: http://www.fmi.org/docs/
                                                                                                                                                         default-source/food-safety-best-practice-guides/
                                           grind (9 CFR 320.1(b)(4)(i)(D)).                        that retailers would simply throw out
Lhorne on DSK5TPTVN1PROD with RULES




                                                                                                                                                         meat-ground-at-retail-comprehensive-guide.pdf?
                                           However, if a store or establishment                    bench trim to avoid the recordkeeping                 sfvrsn=6. Conference for Food Protection, Guidance
                                           were to start using a different supplier                requirements.                                         Document for the Production of Raw Ground Beef
                                           or lot number during the day, it would                    Response: In its proposed rule, FSIS                at Various Types of Retail Food Establishments,
                                                                                                                                                         available at: http://www.foodprotect.org/media/
                                           need to document that change (9 CFR                     considered a 2008 study that found that               guide/CFP%20Beef%20Grinding%20Log%20
                                           320.1(b)(4)(i)(B)). This approach                       recording grinding information is                     Template%20Guidance%20Document%20-%208-
                                           minimizes the recordkeeping burden                      already prevalent among official                      8-2014.pdf.



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                                                            Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations                                                 79241

                                             Response: FSIS did not propose a                      Agency may issue notices of warning or                Need for the Rule
                                           definition for a ‘‘lot’’ of ground beef in              request the Department of Justice to                     During investigations of foodborne
                                           the proposed rule. In response to this                  initiate a civil proceeding to enjoin the             illness outbreaks attributed to ground
                                           comment, and for the sake of                            defendant from further violations of the              beef, grinding records are an important
                                           consistency in implementing this final                  applicable laws and regulations.                      part of the traceback and traceforward
                                           rule, FSIS has added a new 9 CFR                                                                              processes. Without accurate records, it
                                           320.1(b)(4)(iii), which defines a lot.                  Executive Orders 12866 and 13563 and
                                                                                                   Regulatory Flexibility Act                            is difficult to identify where ground beef
                                           Implementation                                                                                                components originated. If investigators
                                                                                                      Executive Orders 12866 and 13563
                                              All retailers and official                                                                                 cannot identify a source, it is likely that
                                                                                                   direct agencies to assess costs and
                                           establishments will have 180 days from                                                                        adulterated product will remain in
                                                                                                   benefits of available regulatory
                                           the date of publication of this final rule                                                                    commerce and more consumers will eat
                                                                                                   alternatives and, if regulation is
                                           to comply with its requirements.                                                                              the product and become ill. Delays in
                                                                                                   necessary, to select regulatory
                                              As is discussed above, this rule does                                                                      identifying the source of contamination
                                                                                                   approaches that maximize net benefits
                                           not prescribe the method by which                                                                             can also negatively affect sales of
                                                                                                   (including potential economic,
                                           official establishments and retail stores                                                                     ground beef due to loss in consumer
                                                                                                   environmental, public and safety effects,
                                           must keep the required information but                                                                        confidence. Despite efforts by FSIS,
                                                                                                   distributive impacts, and equity).
                                           does require that the information be                                                                          industry associations, and other
                                                                                                   Executive Order 13563 emphasizes the
                                           kept at the location where the beef is                                                                        regulators to provide retailers and
                                                                                                   importance of quantifying both costs
                                           ground. The records must be retained                                                                          official processing establishments with
                                                                                                   and benefits, of reducing costs, of
                                           for one year after the transaction giving                                                                     guidance and examples of best
                                                                                                   harmonizing rules, and of promoting
                                           rise to the record (grinding) occurred.                                                                       practices, the current level of
                                                                                                   flexibility. This rule has been
                                           FSIS will update its Sanitation                                                                               recordkeeping is still less than what is
                                                                                                   designated a ‘‘non-significant regulatory
                                           Guidance for Beef Grinders,12 which                                                                           needed for timely and accurate
                                                                                                   action’’ under section 3(f) of Executive
                                           currently includes sample grinding logs                                                                       traceability investigations.
                                                                                                   Order 12866. Accordingly, this rule has                  Traceability systems are a potential
                                           and instructions, and hold webinars to                  not been reviewed by the Office of
                                           explain the requirements of the final                                                                         way to lessen the costs of foodborne
                                                                                                   Management and Budget.                                illness outbreaks and other food safety
                                           rule and answer questions from official                    In updating the preliminary
                                           establishments, retailers, and other                                                                          events. In the case of private regulation,
                                                                                                   regulatory impact analysis of the
                                           organizations. FSIS will also provide                                                                         each firm will ultimately decide what
                                                                                                   proposed rule, FSIS has made several
                                           information to small businesses through                                                                       level of traceability to implement on the
                                                                                                   changes in response to public comments
                                           its Small Plant Help Desk and Small                                                                           basis of costs and potential benefits,
                                                                                                   and newly available information.
                                           Plant News newsletter. FSIS will                                                                              such as smaller losses of reputation and
                                                                                                   Specifically, FSIS has made the
                                           provide guidance to State MPI programs                                                                        reduced liability costs during foodborne
                                                                                                   following changes in the final regulatory
                                           on the requirements of this rule and                                                                          illness outbreaks.13 Some firms may
                                                                                                   impact analysis:
                                           seek to partner with States to ensure                                                                         decide not to invest at all. Insufficient
                                                                                                      D Increased the number of retail firms
                                           that the requirements of this rule are                                                                        traceability, however, is not optimal for
                                                                                                   in the baseline using new U.S. Census
                                           communicated to official establishments                                                                       the industry as a whole.14 In some cases
                                                                                                   Bureau data;
                                           inspected by State MPI programs and to                     D Added assumptions about the                      industry associations and third parties
                                           retail stores that grind raw beef. FSIS                 percentage of retail firms that grind raw             can influence firms to adopt traceability
                                           will also work with States and                          beef;                                                 measures, but in the case of grinding
                                           universities around the nation to                          D Incorporated new distributions                   records, these efforts have not achieved
                                           conduct outreach workshops targeted to                  relating to source materials used to                  an acceptable level.15
                                           retailers and official establishments to                reflect the complexity of grinding                       Forms of private regulation, such as
                                           explain the requirements of the rule.                   operations;                                           those currently in place for raw beef
                                           Records of the required information                        D Adjusted the time estimates for                  grinding entities, are vulnerable to firms
                                           must be made available to authorized                    recordkeeping activities, the frequency               that do not invest their fair share to the
                                           USDA officials upon request (9 CFR                      of recordkeeping tasks, and the number                detriment of others, commonly referred
                                           300.6(a)(2)). These officials may                       of active grinding days per week based                to as the ‘‘free rider’’ problem.16 In the
                                           examine and copy such records (9 CFR                    on comments received;                                 event of a foodborne illness outbreak
                                           320.4). At official establishments, FSIS                   D Added estimates of labor to
                                                                                                                                                           13 Hobbs, Jill E., (2004) ‘‘Information Asymmetry
                                           inspection personnel will verify                        incorporate recordkeeping for grinds,
                                                                                                                                                         and the Role of Traceability Systems,’’
                                           compliance. As is discussed above, if                   including pieces of trim and customer-                Agribusiness, Vol. 20 (4), 397–415, available at:
                                           FSIS personnel find noncompliance at                    requested grinds;                                     http://onlinelibrary.wiley.com/doi/10.1002/
                                           an official establishment, the Agency                      D Updated the wage rate and benefits               agr.20020/pdf.
                                           could issue non-compliance reports,                     factor for firm employees that record or                14 McEvoy, David M. and Souza-Monteiro, Diogo

                                                                                                   maintain required records based on the                M., (2008) ‘‘Can an Industry Voluntary Agreement
                                           letters of warning, or request the                                                                            on Food Traceability Minimize the Cost of Food
                                           Department of Justice to initiate a civil               newest available information;                         Safety Incidents?’’ 12th Congress of the European
                                           proceeding in Federal court to enjoin                      D Added discussion about                           Association of Agricultural Economists, Gent,
                                           the defendant from further violations of                unquantified costs associated with                    Belgium, July 26–29, available at: http://
                                                                                                   maintaining records for customer-                     ageconsearch.umn.edu/bitstream/43860/2/397.pdf.
                                           the applicable laws and regulations. At                                                                         15 Gould, Hannah L. et al. (2011) ‘‘Recordkeeping
                                           retail stores, FSIS compliance                          requested grinds; and                                 Practices of Beef Grinding Activities at Retail
                                           investigators will verify that retail                      D Expanded the benefits discussion to
Lhorne on DSK5TPTVN1PROD with RULES




                                                                                                                                                         Establishments,’’ Journal of Food Protection, Vol. 74
                                           grinders meet the recordkeeping                         include benefits not previously                       (6), 1022–1024, available at: http://
                                           requirements. If compliance                             addressed, such as the mitigation of                  www.ncbi.nlm.nih.gov/pubmed/21669085.
                                                                                                                                                           16 Havinga, Tetty, (2006) ‘‘Private Regulation of
                                           investigators find they do not, the                     costly spillover effects from foodborne
                                                                                                                                                         Food Safety by Supermarkets,’’ Law and Policy, Vol.
                                                                                                   illness outbreaks, and the incentive                  28 (4), 515–533, available at: http://www.ru.nl/
                                             12 Available at: http://www.fsis.usda.gov/shared/     traceability provides to produce safe                 publish/pages/552245/
                                           PDF/Sanitation_Guidance_Beef_Grinders.pdf.              product.                                              havingasupermarketslapo2006.pdf.



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                                           79242                Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations

                                           attributed to ground beef, if traceback is                            Mandatory recordkeeping requirements                            Grocery (except Convenience) Stores.
                                           conducted at an entity that maintains                                 can help to reduce moral hazard by                              FSIS found that there are 21,543 stores
                                           adequate records, there is a strong                                   increasing the chances that adulterated                         owned by large firms (≥500 employed),
                                           chance that the source of contamination                               product is traced back to its source,                           and 44,504 stores owned by small firms
                                           will be identified. When this happens,                                thereby strengthening the incentives for                        (<500 employed). FSIS is aware that not
                                           losses in reputation, consumer                                        fabricators of ground beef components                           all supermarkets and grocery stores
                                           confidence, and sales are generally                                   to supply the safest product that they                          grind beef in store. However, for the
                                           limited to the firm supplying the                                     can produce.                                                    purposes of the cost estimate, FSIS
                                           adulterated product. Other firms, such                                                                                                assumed that 100 percent of
                                           as the retailers (both those that invest in                           Industry Baseline
                                                                                                                                                                                 supermarkets and grocery stores grind
                                           traceability and those that do not), are                                 FSIS has identified four groups of                           beef. While this results in a minor
                                           to some degree insulated from negative                                businesses that will be subject to the                          overestimate, FSIS lacks the data
                                           spillover effects. In this case, free-rider                           final rule.                                                     needed to support a different
                                           firms—those that do not invest in                                        1. Official, federally-inspected                             assumption.
                                           traceability—benefit from the                                         establishments that grind beef: FSIS
                                                                                                                 used information from PHIS to                                      3. Meat markets that grind beef: FSIS
                                           investments of others.
                                                                                                                 determine the number of federally                               used the 2012 SUSB Census data to
                                              If, however, traceback occurs at a firm
                                           that does not invest in recordkeeping,                                inspected establishments subject to FSIS                        determine the number of stores under
                                           the chances of investigators successfully                             sampling of ground beef product for E.                          the NAICS code 445210—Meat Markets.
                                           tracing adulterated product to its source                             coli O157:H7 and Salmonella in the past                         FSIS found that there are 123 stores
                                           are low. An illness outbreak attributed                               calendar year (2014). To ensure that                            owned by large firms, and 5,105 stores
                                           to ground beef in which the source is                                 only those establishments that receive                          owned by small firms. The NAICS code
                                           unidentified will negatively affect                                   ground beef components from a supplier                          for meat markets includes six
                                           ground beef producers and retailers                                   are included in the total, FSIS excluded                        subcategories, three of which do not
                                           indiscriminately. In this case, firms that                            those establishments that also                                  grind beef, including Baked Ham Stores,
                                           have invested in traceability will bear                               slaughtered beef in the past calendar                           Frozen Meat Stores, and Poultry
                                           costs that could have been avoided were                               year.18 Using the Hazard Analysis and                           Dealers. To account for these stores,
                                           it not for the free-rider firm. Mandatory                             Critical Control Point (HACCP) size                             FSIS assumed that 50 percent of large
                                           recordkeeping requirements will help to                               categories available in PHIS, FSIS                              stores and 50 percent of small stores in
                                           eliminate insufficient traceability                                   determined that there are 12 large                              this category grind beef.
                                           systems and therefore mitigate the free                               establishments and 1,132 small                                     4. Warehouse clubs and supercenters
                                           rider problem.                                                        (including HACCP size small and                                 that grind beef: FSIS used the 2012
                                              Inadequate traceability systems can                                HACCP size very small) establishments                           SUSB Census data to determine the
                                           also contribute to moral hazard, which,                               that fall into this category.                                   number of stores under the NACIS code
                                           in the case of ground beef, is a lack of                                 2. Supermarkets and other grocery                            452910—Warehouse Clubs and
                                           incentives to produce a safe product.17                               stores that grind beef: FSIS used data                          Supercenters. FSIS determined that
                                           Producers of ground beef components                                   from the U.S. Census Bureau to                                  there are 5,124 such stores owned by
                                           endeavor to produce safe product                                      determine the number of grocery stores                          large firms, and 40 stores owned by
                                           because the consequences of producing                                 in the U.S. Specifically, FSIS used the                         small firms. FSIS is aware that not all
                                           unsafe product are great. However, if                                 2012 Statistics of U.S. Business (SUSB)                         warehouse clubs and supercenters grind
                                           adulterated ground beef is often unable                               data set 19 to determine the number of                          beef in store. To account for this, FSIS
                                           to be traced back to its source,                                      stores under the North American                                 assumed that 20 percent of large stores
                                           producers face less risk when the                                     Industry Classification System (NAICS)                          and 100 percent of small stores grind
                                           components they produce are unsafe.                                   code 445110—Supermarkets and Other                              beef.20

                                                                                                              TABLE 4—ENTITIES THAT GRIND RAW BEEF
                                                                 Entity type                                           Total entities                         Percent grinding                            Entities grinding

                                                           Establishment type                                   Large               Small                 Large                     Small               Large             Small

                                           Official Establishments .............................                        12               1,132                      100                        100             12              1,132
                                           Supermarkets and Other Grocery Stores                                    21,543              44,504                      100                        100         21,543             44,504
                                           Meat Markets ...........................................                    123               5,105                       50                         50             62              2,553
                                           Warehouse Clubs and Supercenters .......                                  5,124                  40                       20                        100          1,025                 40

                                                 Total ..................................................           26,802              50,781    ........................   ........................      22,641             48,229
                                              Values in Table may not sum to totals because of rounding.




                                              17 Starbird, S. A., Amanor-Boadu, V., and Roberts,                 not need to keep records pertaining to suppliers.                 20 FSIS was able to determine that the majority of
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                                           T. (2008) ‘‘Traceability, Moral Hazard, and Food                      While it is possible that some official                         large stores in this category do not grind beef in
                                           Safety,’’ 12th Congress of the European Association                   establishments both slaughter beef and receive                  store because two large firms which account for
                                           of Agricultural Economists, available at: http://                     components from other official establishments for               approximately 80 percent of supercenters have
                                           ageconsearch.umn.edu/bitstream/43840/2/EAAE_                          grinding, the number of such establishments is
                                                                                                                                                                                 ceased this practice. These firms purchase beef pre-
                                           0398.pdf.                                                             likely very small.
                                              18 If an official establishment slaughters beef, then                 19 U.S. Census Bureau, (2012), Statistics of U.S.
                                                                                                                                                                                 ground and pre-packaged from federally inspected
                                           it is likely the only source of components for its                    Businesses, accessed January 28, 2015, available at:            establishments or have it shipped from one of their
                                           own ground beef production, and therefore it would                    http://www.census.gov/econ/susb/.                               other branded chains.




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                                                               Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations                                                                                              79243

                                             To estimate the number of entities                                    percent of those logs as incomplete.21                                       percent*78 percent), and 26 percent no
                                           that are already maintaining adequate                                   For the purposes of this estimate, FSIS                                      records. For small entities, the
                                           records, FSIS used a Centers for Disease                                used the chain stores surveyed in the                                        distribution is approximately 3 percent
                                           Control and Prevention (CDC) study of                                   study as a proxy for large retailers and                                     complete (12 percent*(1–78 percent)), 9
                                           ground beef recordkeeping practices at                                  official establishments, and the                                             percent incomplete (12 percent*78
                                           retail stores and applied the                                           independent stores as a proxy for small                                      percent), and 88 percent no records.
                                           distributions in the study to the entities                              retailers and official establishments.                                       FSIS applied these distributions to the
                                           that grind raw beef. The study found                                    Therefore, the recordkeeping                                                 set of all grinding entities in Table 4,
                                           that 74 percent of chain retail stores and                              distribution of large entities based on                                      above. The current recordkeeping
                                           12 percent of independent retail stores                                 the survey results is approximately 16                                       practices of beef grinding entities are
                                           kept grinding logs. Of the stores that                                  percent complete (74 percent*(1–78
                                                                                                                                                                                                displayed in Table 5.
                                           kept grinding logs, the study reported 78                               percent)), 58 percent incomplete (74

                                                                        TABLE 5—BASELINE RECORDKEEPING PRACTICES AT ENTITIES THAT GRIND RAW BEEF
                                                                                                                                                                                                                         Distribution
                                                   Entity size                                                                      Recordkeeping                                                                                                 Entities
                                                                                                                                                                                                                          (percent)

                                           Large ........................    Complete ...........................................................................................................................                          16          3,686
                                                                             Incomplete ........................................................................................................................                           58         13,069
                                                                             No Records .......................................................................................................................                            26          5,887

                                                                                 Total ...........................................................................................................................     ........................       22,641
                                           Small .........................   Complete ...........................................................................................................................                            3         1,273
                                                                             Incomplete ........................................................................................................................                             9         4,514
                                                                             No Records .......................................................................................................................                            88         42,441

                                                                                   Total ...........................................................................................................................   ........................       48,229
                                              Values in table may not sum to Totals because of rounding.


                                           Alternative Regulatory Approaches                                          (2) Regulated Daily Recordkeeping                                         pieces of information from the
                                                                                                                   Program: FSIS considered requiring that                                      requirements that were included in the
                                              FSIS considered a number of                                          retail stores and official establishments                                    proposed rule, ensuring that only the
                                           alternatives designed to achieve the                                    maintain grinding records such that                                          necessary information for traceability is
                                           regulatory objective outlined in the                                    each producer recorded grinding                                              maintained. Requiring records that
                                           Need for the Rule section. The final rule                               activities once per day, and information                                     pertain to each individual grind
                                           was chosen as the least burdensome,                                     on all suppliers that were used during                                       guarantees that investigators will be able
                                           technically acceptable regulatory                                       that day but not on when during the day                                      to identify the components included in
                                           approach to ensure that adequate                                        those suppliers were used. Daily                                             an adulterated package of ground beef,
                                           grinding records are maintained for the                                 recording may have been sufficient if                                        creating a narrower list of potential
                                           purposes of outbreak investigation and                                  entities typically cleaned their                                             sources of adulterated product and
                                           product trace back. While some                                          equipment once a day, rarely changed                                         increasing the chances that the source of
                                           alternatives would result in lesser costs                               suppliers, and conducted few grinds per                                      contamination is identified. FSIS has
                                           to industry, and some alternatives                                      day, but FSIS has found that the                                             determined that this alternative is the
                                           would result in more complete                                           majority of retailers grind product and                                      least burdensome option that achieves
                                           information for outbreak investigators,                                 clean their equipment multiple times                                         the regulatory objective.
                                           in FSIS’s judgment the final rule is the                                per day. A single daily recordkeeping                                           (4) More Detailed Recordkeeping
                                           alternative that maximizes net benefits.                                task is, therefore, insufficient to provide                                  Program: FSIS also considered
                                           Cost estimates were developed for the                                   the necessary information for traceback                                      expanding the proposed recordkeeping
                                           final rule but not for the rejected                                     and could inhibit FSIS’s ability to                                          requirements to include all fields
                                           alternatives because the costs for these                                identify suppliers during ongoing                                            suggested in the 2009 FSIS guidance (all
                                           alternatives are discernibly higher or                                  outbreaks. In addition, the time savings                                     fields in the Table 2 sample log). This
                                           lower because of the amount of time                                     of daily recordkeeping over per-grind                                        approach would provide FSIS with
                                           spent on recordkeeping.                                                 recordkeeping is likely low since most                                       more detailed records to use during an
                                           Alternatives Considered                                                 of the same information will need to be                                      investigation, which may improve
                                                                                                                   kept. Therefore, FSIS rejected this                                          traceability slightly. However, the small
                                             (1) Encouraging rather than requiring                                 alternative.                                                                 improvement in the trace back process
                                           grinding records: FSIS provided                                            (3) The Final Rule: The chosen                                            provided by the additional level of
                                           industry voluntary guidelines (see Table                                alternative requires that retail stores and                                  detail would place an unnecessarily
                                           2) in 2009. As stated previously, the                                   official establishments maintain                                             large burden on those entities that grind
                                           Agency has concluded that a policy of                                   grinding records such that each                                              product and must keep records. Any
                                           voluntary guidelines for recordkeeping                                  producer must record the required                                            such small improvement would not
                                           has not ensured that all official                                       information whenever any of the                                              outweigh the costs incurred for keeping
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                                           establishments and retail stores                                        required information for the lot of                                          the more detailed records. For this
                                           maintain complete records that will                                     product being ground changes. To                                             reason, FSIS decided to require that
                                           ensure quick identification of                                          minimize the burden placed on these                                          only the most critical information be
                                           contaminated product.                                                   entities, FSIS has removed certain                                           recorded. Other information, including

                                             21 See   footnote 3.



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                                           79244            Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations

                                           that which appears on the sample log,                             The costs and benefits of the final rule
                                           is voluntary.                                                   and each regulatory alternative are
                                                                                                           displayed in Table 6.

                                                                                               TABLE 6—REGULATORY ALTERNATIVES CONSIDERED
                                                      Alternative                                                    Costs                                                                   Benefits

                                           (1) Encouraging Voluntary              No additional costs ..........................................................   No additional benefits.
                                             Recordkeeping.
                                           (2) Regulated Daily Record-            Slightly less costly alternative to industry due to small                        Improvement over voluntary recordkeeping because
                                             keeping.                               time savings over per-grind recordkeeping.                                       records are required and must be created every day
                                                                                                                                                                     of grinding, but the records will in most cases not be
                                                                                                                                                                     detailed enough to facilitate traceability. Therefore,
                                                                                                                                                                     any benefits that can realistically be expected will be
                                                                                                                                                                     minimal, and the objective of facilitating traceability
                                                                                                                                                                     will not be met.
                                           (3) The Final Rule ................    $59.3 million ($48.5 million to $70.2 million) annual                            Achievement of regulatory objective resulting in benefits
                                                                                    costs to the industry, plus additional costs associated                          to consumers in the form of averted foodborne ill-
                                                                                    with recording the source of trim and customer-re-                               ness, to retailers and official establishments grinding
                                                                                    quested grind components. Potential slight costs to                              components from suppliers in the form of less costly
                                                                                    consumers.                                                                       outbreaks and recalls, and to official establishments
                                                                                                                                                                     supplying ground beef components in the form of
                                                                                                                                                                     less costly recalls and insulation from costly spillover
                                                                                                                                                                     effects during food safety events.
                                           (4) More Detailed Record-              Most costly alternative to industry ..................................           Achievement of regulatory objective resulting in the
                                             keeping.                                                                                                                benefits described above. Potential for small increase
                                                                                                                                                                     in traceback speed and therefore small increase in
                                                                                                                                                                     avoided illnesses.



                                           Expected Costs of the Final Rule                                of the many variations in how retail                             Therefore, FSIS does not anticipate that
                                                                                                           stores will deal with the requirements                           entities will incur significant costs for
                                           Costs to Industry
                                                                                                           and the relatively small number of                               the development of records and
                                              Retailers and official establishments                        customer grinds that take place.                                 standard operating procedures. FSIS
                                           that grind raw beef will incur costs to                            Entities may incur other costs for                            also believes that training for
                                           comply with the final rule. These                               training and investment should they                              recordkeeping can be done informally,
                                           include the labor cost of employees who                         choose to implement complex                                      on the job, and will therefore result in
                                           record and maintain the records, storage                        recordkeeping systems. Electronic                                minimal costs. Also, as noted above,
                                           costs, and those costs associated with                          recordkeeping options exist, which are                           FSIS will conduct webinars and provide
                                           trim and customer-requested grinds.                             likely more expensive than paper                                 guidance to help inform industry of the
                                           FSIS has attempted to estimate the cost                         records but provide additional benefits                          new requirements, which will help
                                           of labor and storage using information                          such as improved accuracy, lower labor                           minimize training costs.
                                           obtained from industry associations, the                        requirements, useful reporting and                                  To estimate the labor costs associated
                                           U.S. Census Bureau, the U.S. Bureau of                          recall management tools, and supply-                             with recordkeeping, FSIS divided the
                                           Labor Statistics, a commercial real estate                      side management functions. Firms will                            entities keeping no records and
                                           services firm report, and public                                decide individually whether these                                incomplete records into categories based
                                           comments.                                                       systems are suitable to their needs, and                         on three basic types of grinding
                                              In order to keep adequate records                            the proportion of those choosing more                            activities:
                                           when grinding trim, entities will need to                       complex systems is uncertain. For the                               1. No trim—grinds in which no trim
                                           keep track of the source of each cut of                         purposes of the cost estimate, FSIS has                          is used, only chubs of ground beef;
                                           beef from which the trim was separated.                         only estimated costs and benefits of the                            2. With trim—grinds in which trim is
                                           If not all of the trim is ground in a single                    basic, paper-based system of                                     added to chubs of ground beef; and
                                           batch, then entities will need to record                        recordkeeping. FSIS assumes that if                                 3. Trim-only—grinds consisting only
                                           each lot in which the trim is used.                             firms choose to invest more in their                             of trim.
                                           Similarly, if retail stores grind beef at                       recordkeeping systems, they will do so                              Using distributions from the CDC
                                           the request of customers, they will need                        because the benefits achieved outweigh                           recordkeeping study, FSIS was able to
                                           to record the required information for                          the costs.                                                       estimate the number of official
                                           that small grind if new source materials                           Model records are available in the                            establishments and retail stores that do
                                           are used. How entities choose to deal                           preamble of this final rule, on the FSIS                         not use trim in their grinds (no trim),
                                           with the requirements will differ, and                          Web site,22 and on the Web sites of                              that use trim in their grinds (with trim),
                                           the costs associated with these                                 industry associations. Best practices and                        and that use no trim in some grinds and
                                           requirements will vary greatly because                          guidance for beef grinders are also
                                           of differences in firm size, component                                                                                           Recordkeeping and Sanitation,’’ accessed February
                                                                                                           available from a number of sources.23                            12, 2015, available at: http://www.fmi.org/docs/
                                           ordering practices, and grinding
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                                                                                                                                                                            default-source/food-safety-best-practice-guides/
                                           practices. FSIS used labor-time                                    22 FSIS, (2012) Sanitation Guidance for Beef
                                                                                                                                                                            meat-ground-at-retail-comprehensive-
                                           estimates from a grocery store chain’s                          Grinders, available at: http://www.fsis.usda.gov/                guide.pdf?sfvrsn=6. Beef Industry Food Safety
                                           public comments to estimate additional                          wps/wcm/connect/b002d979-1e1e-487e-ac0b-                         Council, (2005) ‘‘Best Practices For Retailer
                                                                                                           f91ebd301121/Sanitation_Guidance_Beef_                           Operations Producing Raw Ground Beef,’’ accessed
                                           costs related to grinding trim. FSIS left                       Grinders.pdf?MOD=AJPERES.                                        February 12, 2015, available at: https://
                                           additional costs related to customer                               23 Food Marketing Institute, (2013)                           www.bifsco.org/CMDocs/BIFSCO/
                                           requested grinds unquantified because                           ‘‘Comprehensive Guide Meat Ground at Retail                      Best%20Practices/bestpracticesforretail4-05.pdf.



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                                                            Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations                                                                           79245

                                           only trim in others (trim-only). While                          into the three defined categories, these                      of the cost estimate. The categorization
                                           there are likely other combinations of                          categories are sufficient for the purposes                    of entities is displayed in Table 7.
                                           practices, and not all entities will fall

                                                                                 TABLE 7—ENTITIES CATEGORIZED BY TYPES OF GRINDING PERFORMED
                                              Size                 Recordkeeping                           Entities                 Trim or no trim                                 Trim practices                          Entities

                                           Large ...    Incomplete ................................              13,069   Using Trim (91%) .....................      Trim-Only (90%) .......................                   10,703
                                                                                                                                                                      With Trim (10%) .......................                    1,189
                                                                                                                          No Trim (9%) ............................   ...................................................        1,176
                                                        No Records ..............................                 5,887   Using Trim (91%) .....................      Trim-Only (90%) .......................                    4,821
                                                                                                                                                                      With Trim (10%) .......................                      536
                                                                                                                          No Trim (9%) ............................   ...................................................          530
                                           Small ....   Incomplete ................................               4,514   Using Trim (61%) .....................      Trim-Only (52%) .......................                    1,432
                                                                                                                                                                      With Trim (48%) .......................                    1,322
                                                                                                                          No Trim (39%) ..........................    ...................................................        1,761
                                                        No Records ..............................                42,441   Using Trim (61%) .....................      Trim-Only (52%) .......................                   13,462
                                                                                                                                                                      With Trim (48%) .......................                   12,427
                                                                                                                          No Trim (39%) ..........................    ...................................................       16,552
                                              Values in table may not sum to Totals because of rounding.


                                             FSIS assigned time estimates for each                         trim grinds 4 to 5.5 times per day and                        6 days per week × 50 percent
                                           of the three types of grinds based on                           then perform an additional trim-only                          (incomplete records) = 46.7 minutes per
                                           public comments. For no trim grinds,                            grind (for a total of 5 to 6.5 per day).                      week.
                                           FSIS assumed that recordkeeping would                           Further, FSIS estimated that                                     If the store in the example above
                                           take approximately 1 minute per                                 approximately 90 percent of retailers                         started with no records, the 50-percent
                                           grind.24 For with trim grinds, FSIS                             perform customer-requested grinds, and                        factor would be removed, increasing the
                                           assumed that the number of components                           that those grinds make up 1 percent of                        time burden to 60.3 to 93.4 minutes per
                                           would approximately double, and                                 the total grinds.27 FSIS estimated that                       week. If instead the store were an
                                           therefore recordkeeping would take                              the recordkeeping for customer-                               official establishment, the customer
                                           about 2 minutes. For trim-only grinds,                          requested grinds would take about 1                           grinds would be removed, resulting in a
                                           FSIS assumed that recordkeeping would                           minute. Customer-requested grinds were                        burden of 30 to 46.5 minutes per week.
                                           vary depending on the number of                                 not applied to official establishments.
                                                                                                           Finally, FSIS estimated that the average                         Time estimates were calculated for
                                           sources and take approximately 6 to 10                                                                                        each entity in Table 7 and then
                                           minutes per grind.25 If an entity is                            retailer grinds 6 days per week.28
                                                                                                              To illustrate the time estimate, FSIS                      multiplied by 52 weeks for an annual
                                           keeping complete records, FSIS                                                                                                estimate. To calculate the cost of this
                                           assumed that it would not incur any                             has provided the following example of
                                                                                                           a retail store that does trim-only grinds,                    added labor, FSIS estimated that the
                                           additional costs; if an entity is keeping                                                                                     recordkeeping would be performed by
                                           no records, it would incur costs                                performs customer-requested grinds,
                                                                                                           and has incomplete records:                                   an employee paid at the Bureau of Labor
                                           associated with the full labor time
                                                                                                              D Low Estimate: [4 grinds per day × 1                      Statistics ‘‘Butchers and Meat Cutters’’
                                           estimate, and if an establishment is                                                                                          (occupation code 51–3021) mean hourly
                                                                                                           min per grind (no trim) + 1 grind per
                                           keeping incomplete records, FSIS
                                                                                                           day × 6 min per grind (trim-only) + {5                        wage rate of $14.40.30 To account for
                                           assumed it would incur costs associated                         grinds (no trim + trim-only) * 1/99 29}                       benefits paid to these employees, such
                                           with half of the labor time estimate.                           grinds per day × 1 min per grind                              as paid leave and retirement
                                             FSIS also relied on public comments                           (customer request)] × 6 days per week ×                       contributions, FSIS applied a benefits
                                           to estimate the number of grinding                              50 percent (incomplete records) = 30.2                        factor of 1.412 31 to the wage rate,
                                           activities completed per day. FSIS                              minutes per week.                                             resulting in a total compensation rate of
                                           consequently estimated that the average                            D High Estimate: [5.5 grinds per day ×                     $20.33 per hour. FSIS then multiplied
                                           entity grinds 4 to 5.5 times per day,26                         1 min per grind (no trim) + 1 grind per                       the labor time estimates by the total
                                           with the exception of those that do trim-                       day × 10 min per grind (trim-only) +                          compensation rate estimate to get the
                                           only grinding. For those entities, FSIS                         {6.5 grinds (no trim + trim-only) * 1/99}                     total annual cost of labor, displayed in
                                           estimated that they would complete no                           × 1 min per grind (customer request)] ×                       Table 8.



                                             24 ‘‘60 seconds to fill each grind log entry’’—               www.regulations.gov/#!documentDetail;D=FSIS-                    30 Bureau of Labor Statistics, May 2013 National

                                           Docket ID# FSIS–2009–0011–0035, available at:                   2009-0011-0040.                                               Occupational Employment and Wage Estimates,
                                           http://www.regulations.gov/                                       27 ‘‘90 percent of the retailers that grind beef in         accessed February 2, 2015, available at: http://
                                           #!documentDetail;D=FSIS-2009-0011-0035.                         store perform grinds at a consumer’s request . . .            www.bls.gov/oes/current/oes_nat.htm.
                                             25 ‘‘8 minutes per day to log beef trim,’’ ± 2
                                                                                                           the figure is 1 percent or less’’—Docket ID# FSIS–              31 Bureau of Labor Statistics, Employer Costs for
                                           minutes to account for varying number of                        2009–0011–0047, available at: http://                         Employee Compensation, September 2014, accessed
                                           components—Docket ID# FSIS–2009–0011–0035,
                                                                                                           www.regulations.gov/#!documentDetail;D=FSIS-                  February 2, 2015, available at: http://www.bls.gov/
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                                           available at: http://www.regulations.gov/
                                                                                                           2009-0011-0047.                                               news.release/ecec.t06.htm. Wages and salaries as a
                                           #!documentDetail;D=FSIS-2009-0011-0035.
                                                                                                             28 ‘‘6x per week’’—Docket ID# FSIS–2009–0011–               percentage of total compensation are estimated at
                                             26 Low estimate: ‘‘Grinds raw beef 4x per day’’—

                                           Docket ID# FSIS–2009–0011–0034, available at:                   0034, available at: http://www.regulations.gov/               70.8% for all service-providing industries, with
                                           http://www.regulations.gov/                                     #!documentDetail;D=FSIS-2009-0011-0034.                       total benefits accounting for the other 29.2%. To
                                           #!documentDetail;D=FSIS-2009-0011-0034. High                      29 (1/99) is the factor used to calculate the number        estimate total compensation, FSIS applied a
                                           estimate: Midpoint of ‘‘3–8 batches a day’’—Docket              of customer-requested grinds as 1 percent of the              benefits factor of (29.2%/70.8% + 1) = 1.412 to the
                                           ID# FSIS–2009–0011–0040, available at: http://                  total grinds.                                                 hourly wage rate.



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                                           79246                 Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations

                                                                                                                             TABLE 8—ANNUAL LABOR COSTS
                                                                                                                                                                                   Low estimate                  High estimate        Midpoint estimate
                                                                                                   Entity size                                                                        ($mil)                         ($mil)                ($mil)

                                           Large ..........................................................................................................................                         12.24                   18.70                   15.47
                                           Small ..........................................................................................................................                         33.54                   48.74                   41.14

                                                 Total ....................................................................................................................                         45.78                   67.44                   56.61
                                              Values in table may not sum to Totals because of rounding.


                                             To account for record storage costs,                                       year of storage (3 sq. ft. × $15.50), and                                    records would be keeping those records
                                           FSIS again used distributions of                                             those entities that already kept records                                     for at least 2 years, as required by 9 CFR
                                           recordkeeping practices from the                                             for 6 months to 1 year would pay half                                        320.3(a). For these establishments there
                                           aforementioned CDC study.32 According                                        the annual cost, or $23.25. Those                                            would be cost savings associated with
                                           to the study, 36 percent of retailers that                                   entities keeping records for greater than                                    one year of reduced storage time
                                           maintain records keep them for greater                                       1 year would have no additional costs                                        equivalent to $46.50. For official
                                           than 1 year, 39 percent keep records for                                     because they are already maintaining                                         establishments not maintaining records,
                                           6 months to 1 year, and 25 percent keep                                      records at the minimum level.                                                there would be an additional cost of
                                                                                                                          The distribution from the CDC study
                                           records for less than 6 months. FSIS                                                                                                                      $46.50. FSIS applied the cost savings to
                                                                                                                        was applied to the number of retail
                                           assumed that grinding records for a full                                                                                                                  those official establishments keeping
                                                                                                                        stores keeping complete or incomplete
                                           year could be kept in 3 square feet of                                       records, and then multiplied by the                                          records and the additional costs to those
                                           storage space, and that the cost of that                                     assumed annual cost of storage. The                                          official establishments keeping no
                                           storage would be approximately $15.50                                        retail stores that do not keep records                                       records, and added those costs and
                                           annually.33 FSIS then assumed that                                           will incur the $46.50 in costs for a full                                    savings to the recordkeeping costs
                                           those retail stores that already kept                                        year of storage.                                                             estimated for retail stores. The results
                                           records, but for less than 6 months,                                           For official establishments, FSIS                                          are displayed in Table 9.
                                           would incur $46.50 in costs for a full                                       assumed that those already maintaining

                                                                                                                  TABLE 9—ANNUAL RECORD STORAGE COSTS
                                                                                                                                                                                                                                        Storage costs
                                                                                                                   Entity size                                                                                  Affected entities           ($mil)

                                           Large ............................................................................................................................................................              16,613                     0.62
                                           Small ............................................................................................................................................................              46,194                     2.08

                                                 Total ......................................................................................................................................................              62,807                     2.70
                                              Values in table may not sum to Totals because of rounding.


                                             The total cost to industry was                                             annual industry cost estimate are
                                           calculated as a sum of the previously                                        displayed in Table 10.
                                           estimated costs. The results of the

                                                                                                                  TABLE 10—TOTAL ANNUAL INDUSTRY COSTS
                                                                                                      Low                        High                     Midpoint
                                                           Entity size                              estimate                   estimate                   estimate                                              Unqualified costs
                                                                                                     ($mil)                     ($mil)                     ($mil)

                                           Large .......................................                     12.86                      19.32                       16.09       Additional costs associated with the grinding of trim and
                                           Small .......................................                     35.63                      50.83                       43.23         customer requested grinds.

                                                 Total .................................                     48.48                      70.15                       59.32
                                              Values in table may not sum to Totals because of rounding.


                                           Cost to Consumers                                                            consumers. In most cases these costs                                         discourage some consumers, the facts
                                                                                                                        should be small. In the case of                                              that customer-requested grinds are so
                                             This rule will not result in any direct                                    customer-requested grinds, consumers                                         infrequent, and fees are already applied
                                           costs to consumers. It is possible that                                      may end up paying a small fee, as is                                         at some locations, suggest that fees will
                                           retailers and official establishments that                                   presently customary at some retail                                           not cause major disruptions to ground
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                                           grind raw beef will pass on a portion of
                                                                                                                        stores. While this practice may                                              beef sales. Therefore FSIS expects that
                                           the increased cost of grinding to
                                             32 See footnote 3.                                                         CassidyTurley/Download/Download.ashx?content                                 Neighborhood/Strip Shopping Centers (see page 11)
                                             33 Cassidy Turley, National Retail Review Winter                           Id=3926&fileName=Cassidy_Turley_National_                                    to approximate the cost of storing records at a retail
                                           2014, accessed February 3, 2015, available at:                               Retail_Review_Winter_2014.pdf. FSIS used the                                 store.
                                           http://dtz.cassidyturley.com/DesktopModules/                                 national average quoted rate for Community/



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                                                            Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations                                                79247

                                           any indirect costs to consumers will be                  other establishments that have benefited              the cost to retailers. When a source is
                                           minimal.                                                 from lessons learned, will result in                  not identified, an outbreak may
                                                                                                    reductions in foodborne illness                       indiscriminately affect firms selling and
                                           Cost to Agency
                                                                                                    outbreaks.                                            producing ground beef. The fresh
                                              FSIS does not anticipate that the                        Firms that supply ground beef                      spinach outbreak in 2006 is a prime
                                           Agency or other regulators will incur                    components will have incentives to                    example of the consequences of an
                                           additional costs as a result of this rule.               apply the guidance developed as a                     outbreak where the source of
                                           FSIS has provided guidance to retailers                  result of previous outbreak                           contamination is in doubt. Bagged
                                           that grind raw beef and will continue                    investigations and to improve the safety              spinach was associated with infections
                                           outreach efforts to ensure that retailers                of their product in general. As                       of E. coli O157:H7, but because no
                                           are aware of the rule and are able to                    traceability systems improve as a result              individual processor could be identified
                                           comply. FSIS will also hold webinars                     of better recordkeeping, liability for food           as having been the source of the
                                           and provide guidance on the new                          safety events will be shifted from                    outbreak, FDA and CDC issued a public
                                           recordkeeping requirements.                              retailers to suppliers. This shift will               alert advising consumers not to eat
                                              FSIS will conduct a retrospective                     reduce the prevalence of moral hazard—                bagged spinach and eventually advised
                                           analysis to quantify what effects, if any,               explained previously in the Need for the              consumers not to eat all fresh spinach.
                                           the final rule has on Agency resources.                  Rule section—thereby incentivizing                    Six companies issued voluntary recalls
                                           To do so, FSIS will examine the                          supplier firms to produce safer product               in September 2006. Sales of spinach
                                           following:                                               through the potential for adverse                     plummeted from $14.3 million in
                                              • Number, length, and outcome of                      consequences of supplying unsafe                      September to $3.7 million in October
                                           recall effectiveness checks.                             product, such as reputation loss and                  and did not recover fully until January
                                              • Regulatory noncompliance citations                  litigation.35 Therefore, by improving                 2008.37 An outbreak caused by a single
                                           at official establishments for the                       traceability through better                           firm, which was identified weeks after
                                           proposed revisions to 9 CFR 320.1(b)(4).                 recordkeeping, this rule has the                      public warnings and recalls took place,
                                              We determined to not examine the                      potential to promote a safer supply of                ended up causing serious losses to the
                                           overtime hours for enforcement, district                 ground beef for consumers.                            entire industry. Mandatory
                                           office, and recall staff on a per-outbreak                                                                     recordkeeping increases the chances
                                           basis, as suggested in the proposed rule.                Benefits to Retailers and Official                    that an investigator identifies the source
                                           The overtime hours cannot directly link                  Establishments That Grind Raw Beef                    of contamination, thereby increasing the
                                           to outbreaks.                                               Retailers and official establishments              chances that an outbreak will have
                                           Expected Benefits of the Final Rule                      that grind raw beef products purchased                minimal impact on uninvolved firms.
                                                                                                    from a supplier will benefit from
                                           Public Health Benefits                                   mandatory recordkeeping because                       Benefits to Official Establishments That
                                                                                                                                                          Supply Ground Beef Components
                                              Mandatory grinding logs with a                        investigators have a better chance of
                                           minimum level of necessary information                   tracing the adulterated product back to                 Official establishments supplying
                                           will improve FSIS investigators’ ability                 the supplier. Investigations that end at              retail stores and processing
                                           to trace implicated product to its source,               the retail level often result in recalls that         establishments with ground beef
                                           recommend timely and accurate recalls,                   are very costly for retailers because they            components will also benefit from the
                                           remove adulterated product from                          bear the burden of product loss and                   increased ability of FSIS investigators to
                                           commerce, and prevent illnesses at later                 compensating customers for returned                   identify sources of contamination.
                                           stages of outbreaks.34                                   product. These recalls can also                       When individual establishments are
                                              Mandatory grinding logs will increase                 negatively affect the brand of the store              found to be suppliers of adulterated
                                           the likelihood that adulterated product                  or chain, resulting in a loss in consumer             product, other uninvolved
                                           is able to be traced back to its source.                 confidence and a loss in sales. In some               establishments are insulated from large
                                           When FSIS identifies official                            cases outbreak investigations that end at             spillover effects such as those illustrated
                                           establishments producing adulterated                     the retail level could result in exposure             in the spinach recall described above.
                                           product, it takes steps to assess their                  to legal liability.36 Accurate records                Identifying the source establishment
                                           production processes through                             increase the likelihood that                          will likely be even more significant for
                                           comprehensive food safety assessments                    contaminated product is traced to its                 official establishments because ground
                                           and follow-up evaluations. In doing so,                  source, lessening the impact of recalls               beef components make up a greater
                                           FSIS is able to identify poor practices                  on retailers and official establishments              portion of their sales than ground beef
                                           and deficiencies in process control and                  that purchase ground beef components                  would at a retail store. Mandatory
                                           to require changes to resolve these                      from suppliers.                                       recordkeeping could help to preserve
                                           issues. In some cases these assessments                     For retailers that are already                     consumer confidence and ground beef
                                           lead to findings that are valuable to                    maintaining accurate records, there will              sales in the event of a foodborne illness
                                           industry as a whole, and the lessons                     be benefits from the reduction in free                outbreak, benefiting all firms that are
                                           learned can be documented and                            rider firms, as explained previously in               uninvolved in the outbreak, while
                                           disseminated in the form of guidance.                    the Need for the Rule section. Fewer                  penalizing the establishment that
                                           Improvements to production practices                     free rider firms will decrease the                    supplied the adulterated product.
                                                                                                    chances that outbreak investigations go                 Another potential benefit for official
                                           and process control, whether at
                                                                                                    unresolved, which can greatly reduce                  establishments is a reduction in the
                                           implicated official establishments or
                                                                                                                                                          scope of ground beef recalls. All else
                                                                                                                                                          being equal, more accurate grinding
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                                             34 For a visual representation of the potential for      35 See  footnote 9.
                                           averted illnesses due to quicker investigations and        36 See  Financial Exposures section of: Grocery     records should result in the
                                           an earlier recall, please refer to Figure 1 of the FDA   Manufacturers Association (GMA), Covington &
                                           Establishment and Maintenance of Records Under           Burling, and Ernst & Young ‘‘Capturing Recall           37 University of Minnesota Food Industry Center,
                                           the Public Health Security and Bioterrorism              Costs,’’ 2011, accessed January 15, 2015, available   (2009) ‘‘Natural Selection: 2006 E. coli Recall of
                                           Preparedness and Response Act of 2002 final rule,        at: http://www.gmaonline.org/file-manager/images/     Fresh Spinach,’’ accessed January 20, 2015,
                                           available at: https://federalregister.gov/a/04-26929/    gmapublications/Capturing_Recall_Costs_GMA_           available at: http://ageconsearch.umn.edu/
                                           #p-674.                                                  Whitepaper_FINAL.pdf.                                 bitstream/54784/2/Natural%20Selection.pdf.



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                                           79248                  Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations

                                           identification of specific lots of                                           thereby reducing losses in consumer                                      examination of current practices and
                                           implicated product and therefore a                                           confidence.                                                              could lead to the identification of
                                           narrower recall.38 Smaller recalls will                                        Finally, official establishments will                                  significant issues that, if corrected,
                                           result in lower costs from product loss                                      benefit from lessons learned during                                      would benefit official establishments
                                           and reimbursement and recall execution                                       recalls and follow-up assessments at                                     generally.
                                           costs such as advertising and public                                         entities linked to foodborne illness
                                           relations management. In some cases,                                         outbreaks. As recordkeeping practices at                                 Net Benefits of the Final Rule
                                           smaller recalls as a result of better                                        retail and official processing
                                                                                                                        establishments improve, more outbreaks                                     The total costs and benefits achieved
                                           recordkeeping could even minimize
                                           sales losses, because a recall could be                                      will be able to be traced to their source.                               as a result of the final rule are displayed
                                           limited to a smaller geographical region                                     This traceback will initiate further                                     in Table 11.

                                                                                                                 TABLE 11—NET BENEFITS OF THE FINAL RULE
                                           Costs:
                                               Labor ................................................          $56.6 million annually ($45.8 million to $67.4 million).
                                               Storage .............................................           $2.7 million annually.
                                               Unquantified Costs ...........................                  Non-labor costs associated with recordkeeping for the grinding of trim and customer requested
                                                                                                                 grinds.
                                                                                                               Potential slight costs to consumers in the form of ground beef price increases.
                                           Benefits:
                                              Unquantified Benefits .......................                    Benefits to consumers in the form of averted foodborne illnesses as a result of contaminated ground
                                                                                                                 beef.
                                                                                                               Benefits to retailers and official establishments grinding raw beef in the form of less costly food safety
                                                                                                                 events, such as outbreaks and recalls.
                                                                                                               Benefits to official establishments supplying ground beef components in the form of less costly recalls
                                                                                                                 and insulation from costly spillover effects during food safety events.



                                           Regulatory Flexibility Analysis                                              States. While the rule does affect a large                               will vary by retail store, but the total
                                              The FSIS Administrator certifies that,                                    number of small businesses, the average                                  cost of compliance across the industry
                                           for the purpose of the Regulatory                                            per entity annual cost is relatively low,                                will be low because of the relatively
                                           Flexibility Act (5. U.S.C. 601–602), the                                     at approximately $905 (746 to 1,064).                                    small number of customer requested
                                           final rule will not have a significant                                       This estimate does not include                                           grinds. Table 12 provides a summary of
                                           economic impact on a substantial                                             unquantified costs associated with                                       the small entities affected by the final
                                           number of small entities in the United                                       customer-requested grinds. These costs                                   rule and the average annual cost.

                                                                              TABLE 12—TOTAL COSTS AND AVERAGE COST PER ENTITY FOR SMALL BUSINESSES
                                                                                                                                                                                                                  Total annual          Average
                                                                                                            Entity type                                                                           Entities            cost             annual cost
                                                                                                                                                                                                                     ($mil)                ($)

                                           Retailer .........................................................................................................................................          46,649               42.22             905.16
                                           Official ..........................................................................................................................................          1,132                1.00             885.63

                                                  Total ......................................................................................................................................         47,781               43.23             904.70
                                              Values in table may not sum to Totals because of rounding.


                                             There is a multitude of guidance                                           maintaining adequate records shows                                          Abstract: Under this final rule, all
                                           already available that small businesses                                      that the cost of the practice is not                                     official establishments and retail stores
                                           can use, and FSIS has provided a                                             prohibitive to doing business.                                           that grind raw beef products for sale in
                                           sample grinding log in this final rule                                                                                                                commerce, including products ground
                                                                                                                        Paperwork Reduction Act
                                           that can be used. These resources will                                                                                                                at a customer’s request, will have to
                                           help to keep the cost of implementing                                          In accordance with section 3507(d) of                                  maintain certain records.
                                           a new recordkeeping program low. In                                          the Paperwork Reduction Act of 1995                                         The required records will have to
                                           general, as the size of the business and                                     (44 U.S.C. 3501 et seq.), the new                                        include the following information:
                                           the amount of ground product sold gets                                       information collection requirements                                         (A) The establishment numbers of the
                                           smaller, so too will the number of                                           included in this final rule have been                                    establishments supplying the materials
                                           suppliers and components used, and the                                       submitted for approval to the Office of                                  used to prepare each lot of raw ground
                                           number of grinds performed. The                                              Management and Budget (OMB).                                             beef product,
                                           smaller scale of production should                                             Title: Records to be Kept by Official                                     (B) All supplier lot numbers and
                                           contribute to lower average costs for                                        Establishments and Retail Stores that                                    production dates,
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                                           smaller businesses. Moreover, the fact                                       Grind Raw Beef Products.                                                    (C) The names of the supplied
                                           that some small firms are already                                              Type of Collection: New.                                               materials, including beef components
                                              38 Resende-Filho, Moises A. and Buhr, Brian L.                            Economists (IAAE) Triennial Conference, Foz do                           simulation results of a model that indicated that
                                           ‘‘Economics of Traceability for Mitigation of Food                           Iguaçu, Brazil, 18–24 August, 2012, available at:                       that presence of a traceability system decreased
                                           Recall Costs,’’ prepared for presentation at the                             http://ageconsearch.umn.edu/bitstream/126193/2/                          volumes of recalls by over 90 percent (see Table 3).
                                           International Association of Agricultural                                    IAAE_2012_Paper.pdf. This paper presents



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                                                            Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations                                           79249

                                           and any materials carried over from one                 have tribal implications, including                   USDA Nondiscrimination Statement
                                           production lot to the next,                             regulations, legislative comments or                    No agency, officer, or employee of the
                                              (D) The date and time each lot of raw                proposed legislation, and other policy                USDA shall, on the grounds of race,
                                           ground beef product is produced, and                    statements or actions that have                       color, national origin, religion, sex,
                                              (E) The date and time when grinding                  substantial direct effects on one or more             gender identity, sexual orientation,
                                           equipment and other related food-                       Indian tribes, on the relationship                    disability, age, marital status, family/
                                           contact surfaces are cleaned and                        between the Federal Government and                    parental status, income derived from a
                                           sanitized.                                              Indian tribes or on the distribution of               public assistance program, or political
                                              In response to comments, FSIS                        power and responsibilities between the                beliefs, exclude from participation in,
                                           removed requirements for entities                       Federal Government and Indian tribes.                 deny the benefits of, or subject to
                                           covered by this rule to provide names,                    FSIS has assessed the impact of this                discrimination any person in the United
                                           points of contact, and phone numbers                    rule on Indian tribes and determined                  States under any program or activity
                                           for official establishments. Also in                    that this rule does not, to our                       conducted by the USDA.
                                           response to comments, the Agency                        knowledge, have tribal implications that
                                           eliminated the requirement that the                     require tribal consultation under E.O.                How To File a Complaint of
                                           weight of each source component used                    13175. If a Tribe requests consultation,              Discrimination
                                           in a lot of ground beef be kept. However,               the Food Safety and Inspection Service                   To file a complaint of discrimination,
                                           in response to other public comments,                   will work with the Office of Tribal                   complete the USDA Program
                                           FSIS increased the time estimates for                   Relations to ensure meaningful                        Discrimination Complaint Form, which
                                           recordkeeping activities, the frequency                 consultation is provided where changes,               may be accessed online at http://
                                           of recordkeeping tasks, and the number                  additions, and modifications identified               www.ocio.usda.gov/sites/default/files/
                                           of active grinding days per week. FSIS                  herein are not expressly mandated by                  docs/2012/Complain_combined_6_8_
                                           also increased the number of retail                     Congress.                                             12.pdf, or write a letter signed by you
                                           stores that will be affected by the rule.                                                                     or your authorized representative.
                                           These changes resulted in a significant                 E-Government Act
                                                                                                                                                            Send your completed complaint form
                                           increase in the number of burden hours                    FSIS and USDA are committed to                      or letter to USDA by mail, fax, or email:
                                           initially estimated in the proposed rule.               achieving the purposes of the E-                         Mail: U.S. Department of Agriculture,
                                              Estimate of Burden: FSIS estimates                   Government Act (44 U.S.C. 3601, et                    Director, Office of Adjudication 1400
                                           that it would take a maximum of 50.33                   seq.) by, among other things, promoting               Independence Avenue SW.,
                                           hours per respondent annually.                          the use of the Internet and other                     Washington, DC 20250–9410
                                              Respondents: Official establishments                 information technologies and providing                   Fax: (202) 690–7442
                                           and retail stores that grind raw beef                   increased opportunities for citizen                      Email: program.intake@usda.gov.
                                           products.                                               access to Government information and                     Persons with disabilities who require
                                              Estimated Number of Respondents:                     services, and for other purposes.                     alternative means for communication
                                           65,911.
                                              Estimated Maximum Annual Number                      Additional Public Notification                        (Braille, large print, audiotape, etc.),
                                           of Responses per Respondent: 1,878.                                                                           should contact USDA’s TARGET Center
                                                                                                      Public awareness of all segments of                at (202) 720–2600 (voice and TDD).
                                              Estimated Maximum Total Annual
                                                                                                   rulemaking and policy development is
                                           Recordkeeping Burden: 3,317,493 hours.                                                                        List of Subjects in 9 CFR Part 320
                                              Copies of this information collection                important. Consequently, FSIS will
                                           assessment can be obtained from Gina                    announce this Federal Register                          Meat inspection, Reporting and
                                           Kouba, Paperwork Reduction Act                          publication on-line through the FSIS                  recordkeeping requirements.
                                           Coordinator, Food Safety and Inspection                 Web page located at: http://                            For the reasons discussed in the
                                           Service, USDA, 1400 Independence                        www.fsis.usda.gov/federal-register.                   preamble, FSIS is amending 9 CFR part
                                           Ave. SW., Room 6065 South Building,                        FSIS also will make copies of this                 320, as follows:
                                           Washington, DC 20250–3700; (202) 720–                   publication available through the FSIS
                                                                                                   Constituent Update, which is used to                  PART 320—RECORDS,
                                           5627.
                                                                                                   provide information regarding FSIS                    REGISTRATION, AND REPORTS
                                           Executive Order 12988                                   policies, procedures, regulations,
                                                                                                   Federal Register notices, FSIS public                 ■ 1. The authority citation for part 320
                                             This final rule has been reviewed
                                                                                                   meetings, and other types of information              continues to read as follows:
                                           under Executive Order 12988, Civil
                                           Justice Reform. Under this rule: (1) All                that could affect or would be of interest               Authority: 21 U.S.C. 601–695; 7 CFR 2.7,
                                           State and local laws and regulations that               to our constituents and stakeholders.                 2.18, 2.53
                                           are inconsistent with this rule will be                 The Update is available on the FSIS                   ■ 2. Amend § 320.1 by adding paragraph
                                           preempted; (2) no retroactive effect will               Web page. Through the Web page, FSIS                  (b)(4) to read as follows:
                                           be given to this rule; and (3) no                       is able to provide information to a much
                                           administrative proceedings will be                      broader, more diverse audience. In                    § 320.1    Records required to be kept.
                                           required before parties may file suit in                addition, FSIS offers an email                        *      *     *     *     *
                                           court challenging this rule.                            subscription service which provides                     (b) * * *
                                                                                                   automatic and customized access to                      (4)(i) In the case of raw ground beef
                                           Executive Order 13175                                   selected food safety news and                         products, official establishments and
                                             This rule has been reviewed in                        information. This service is available at:            retail stores are required to keep records
                                           accordance with the requirements of                     http://www.fsis.usda.gov/subscribe.                   that fully disclose:
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                                           Executive Order 13175, ‘‘Consultation                   Options range from recalls to export                    (A) The establishment numbers of the
                                           and Coordination with Indian Tribal                     information, regulations, directives, and             establishments supplying the materials
                                           Governments.’’ E.O. 13175 requires                      notices. Customers can add or delete                  used to prepare each lot of raw ground
                                           Federal agencies to consult and                         subscriptions themselves, and have the                beef product;
                                           coordinate with tribes on a government-                 option to password protect their                        (B) All supplier lot numbers and
                                           to-government basis on policies that                    accounts.                                             production dates;


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                                           79250            Federal Register / Vol. 80, No. 244 / Monday, December 21, 2015 / Rules and Regulations

                                             (C) The names of the supplied                           Done in Washington, DC, on: December 14,            transfer date established by section 311
                                           materials, including beef components                    2015.                                                 of the Dodd-Frank Act, codified at 12
                                           and any materials carried over from one                 Alfred V. Almanza,                                    U.S.C. 5411, the powers, duties, and
                                           production lot to the next;                             Acting Administrator.                                 functions formerly performed by the
                                             (D) The date and time each lot of raw                 [FR Doc. 2015–31795 Filed 12–18–15; 8:45 am]          OTS were divided among the FDIC, as
                                           ground beef product is produced; and                    BILLING CODE 3410–DM–P                                to State savings associations, the Office
                                             (E) The date and time when grinding                                                                         of the Comptroller of the Currency
                                           equipment and other related food-                                                                             (‘‘OCC’’), as to Federal savings
                                           contact surfaces are cleaned and                        FEDERAL DEPOSIT INSURANCE                             associations, and the Board of
                                           sanitized.                                              CORPORATION                                           Governors of the Federal Reserve
                                             (ii) Official establishments and retail                                                                     System (‘‘FRB’’), as to savings and loan
                                           stores covered by this part that prepare                12 CFR Parts 348 and 390                              holding companies. Section 316(b) of
                                           ground beef products that are ground at                                                                       the Dodd-Frank Act, codified at 12
                                                                                                   RIN 3064–AE20                                         U.S.C. 5414(b), provides the manner of
                                           an individual customer’s request must
                                           keep records that comply with                                                                                 treatment for all orders, resolutions,
                                                                                                   Removal of Transferred OTS
                                           paragraph (b)(4)(i) of this section.                                                                          determinations, regulations, and
                                                                                                   Regulations Regarding Management
                                             (iii) For the purposes of this section                                                                      advisory materials that had been issued,
                                                                                                   Official Interlocks and Amendments to
                                           of the regulations, a lot is the amount of                                                                    made, prescribed, or allowed to become
                                                                                                   FDIC’s Rules and Regulations
                                           ground raw beef produced during                                                                               effective by the OTS. The section
                                           particular dates and times, following                   AGENCY:  Federal Deposit Insurance                    provides that if such materials were in
                                           clean up and until the next clean up,                   Corporation.                                          effect on the day before the transfer
                                           during which the same source materials                  ACTION: Final rule.                                   date, they continue to be in effect and
                                           are used.                                                                                                     are enforceable by or against the
                                                                                                   SUMMARY:     The Federal Deposit                      appropriate successor agency until they
                                           *      *     *     *     *
                                                                                                   Insurance Corporation (‘‘FDIC’’) is                   are modified, terminated, set aside, or
                                           ■ 3. Revise § 320.2 to read as follows:
                                                                                                   adopting a final rule to rescind and                  superseded in accordance with
                                           § 320.2   Place of maintenance of records.              remove from the Code of Federal                       applicable law by such successor
                                             (a) Except as provided in paragraph                   Regulations the transferred OTS                       agency, by any court of competent
                                           (b) of this section, any person engaged                 regulation entitled ‘‘Management                      jurisdiction, or by operation of law.
                                                                                                   Official Interlocks.’’ This subpart was                  Section 316(c) of the Dodd-Frank Act,
                                           in any business described in § 320.1 and
                                                                                                   included in the regulations that were                 codified at 12 U.S.C. 5414(c), further
                                           required by this part to keep records
                                                                                                   transferred to the FDIC from the Office               directed the FDIC and the OCC to
                                           must maintain such records at the place
                                                                                                   of Thrift Supervision (‘‘OTS’’) on July               consult with one another and to publish
                                           where such business is conducted,
                                                                                                   21, 2011, in connection with the                      a list of the continued OTS regulations
                                           except that if such person conducts
                                                                                                   implementation of applicable provisions               that would be enforced by the FDIC and
                                           such business at multiple locations, he
                                                                                                   of title III of the Dodd-Frank Wall Street            the OCC, respectively. On June 14, 2011,
                                           may maintain such records at his
                                                                                                   Reform and Consumer Protection Act                    the FDIC’s Board of Directors approved
                                           headquarters’ office. When not in actual                                                                      a ‘‘List of OTS Regulations to be
                                           use, all such records must be kept in a                 (‘‘Dodd-Frank Act’’). The requirements
                                                                                                   for State savings associations in the                 Enforced by the OCC and the FDIC
                                           safe place at the prescribed location in                                                                      Pursuant to the Dodd-Frank Wall Street
                                           accordance with good commercial                         transferred OTS regulation are
                                                                                                   substantively similar to those in the                 Reform and Consumer Protection Act.’’
                                           practices.                                                                                                    This list was published by the FDIC and
                                             (b) Records required to kept under                    FDIC’s regulation, which is also entitled
                                                                                                   ‘‘Management Official Interlocks’’ and is             the OCC as a Joint Notice in the Federal
                                           § 320.1(b)(4) must be kept at the location                                                                    Register on July 6, 2011.2
                                           where the raw beef was ground.                          applicable for all insured depository
                                                                                                   institutions (‘‘IDIs’’) for which the FDIC               Although section 312(b)(2)(B)(i)(II) of
                                           ■ 4. Revise § 320.3 to read as follows:                                                                       the Dodd-Frank Act, codified at 12
                                                                                                   has been designated the appropriate
                                                                                                   Federal banking agency.                               U.S.C. 5412(b)(2)(B)(i)(II), granted the
                                           § 320.3   Record retention period.
                                                                                                                                                         OCC rulemaking authority relating to
                                             (a) Except as provided in paragraphs                  DATES: The final rule is effective on
                                                                                                                                                         both State and Federal savings
                                           (b) and (c) of this section, every record               January 20, 2016.                                     associations, nothing in the Dodd-Frank
                                           required to be maintained under this                    FOR FURTHER INFORMATION CONTACT:                      Act affected the FDIC’s existing
                                           part must be retained for a period of 2                 Jennifer Maree, Counsel, Legal Division,              authority to issue regulations under the
                                           years after December 31 of the year in                  (202) 898–6543; Mark Mellon, Counsel,                 Federal Deposit Insurance Act (‘‘FDI
                                           which the transaction to which the                      Legal Division, (202) 898–3884; Karen                 Act’’) and other laws as the ‘‘appropriate
                                           record relates has occurred and for such                Currie, Senior Examination Specialist,                Federal banking agency’’ or under
                                           further period as the Administrator may                 (202) 898–3981.                                       similar statutory terminology. Section
                                           require for purposes of any investigation               SUPPLEMENTARY INFORMATION:                            312(c) of the Dodd-Frank Act amended
                                           or litigation under the Act, by written                                                                       the definition of ‘‘appropriate Federal
                                           notice to the person required to keep                   I. Background
                                                                                                                                                         banking agency’’ contained in section
                                           such records under this part.                           A. The Dodd-Frank Act                                 3(q) of the FDI Act, 12 U.S.C. 1813(q),
                                             (b) Records of canning as required in                                                                       to add State savings associations to the
                                                                                                     The Dodd-Frank Act 1 provided for a
                                           subpart G of part 318 of this chapter,                                                                        list of entities for which the FDIC is
                                                                                                   substantial reorganization of the
                                           must be retained as required in                                                                               designated as the ‘‘appropriate Federal
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                                                                                                   regulation of State and Federal savings
                                           § 318.307(e); except that records                                                                             banking agency.’’ As a result, when the
                                                                                                   associations and their holding
                                           required by § 318.302(b) and (c) must be                                                                      FDIC acts as the designated
                                                                                                   companies. Beginning July 21, 2011, the
                                           retained as required by those sections.                                                                       ‘‘appropriate Federal banking agency’’
                                             (c) Records required to be maintained                   1 Dodd-Frank Wall Street Reform and Consumer        (or under similar terminology) for State
                                           under § 320.1(b)(4) must be retained for                Protection Act, Pub. L. 111–203, 124 Stat. 1376
                                           one year.                                               (2010).                                                 2 76   FR 39247 (July 6, 2011).



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Document Created: 2015-12-19 02:56:47
Document Modified: 2015-12-19 02:56:47
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
ActionFinal rule.
DatesEffective June 20, 2016.
ContactDr. Daniel Engeljohn, Assistant Administrator, Office of Policy and Program Development, Food Safety and Inspection Service, U.S. Department of Agriculture, Washington, DC 20250; Telephone: (202) 205-0495; Fax (202) 720-2025.
FR Citation80 FR 79231 
RIN Number0583-AD46
CFR AssociatedMeat Inspection and Reporting and Recordkeeping Requirements

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