Recipe Analysis

Industry told to cut sugar by 20%

At the start of the week, the House of Commons Health Select Committee published a follow up to the Government’s childhood obesity plan, in which they welcomed the measures included but were extremely disappointed that several key areas had not been included.

Tiered levy on sugary drinks – strongly recommend measures are implemented to ensure manufacturers pass on the price differential between high & low/no sugar to help maximise the ‘nudge’ and prevent consumers of sugar-free products subsidising the higher sugar drinks. Also urge Government to extend the levy to milk-based drinks with added sugar.

Voluntary reformulation programme (sugar) – urge Government to set out proposals if the voluntary reformulation does not go as far or as fast as necessary. Likewise Public Health England (PHE) should set out plans for reducing portion size & Government draw up measures to implement a cap on portion sizes linked to calorie content of certain foods & drinks for implementation if voluntary action does not achieve this.

Discounts & promotions – urge Government to follow evidence based advice from their chief public health advisers and to regulate price promotions on the sale of unhealthy food & drinks.

Committee of Advertising Practise (CAP) banning high fat, salt & sugar (HFSS) advertising in children’s media – new rules could and should go further. Urge a re-examination of the case for further restrictions on advertising HFSS food & drink in the light of the most recent research.

Out of home sector – a call for a change to planning legislation to make it easier for local authorities to limit proliferation of unhealthy food outlets in their areas.

And today (30/03/17) Public Health England published a technical report setting out guidelines on how to achieve a 20% sugar reduction across 9 categories of food (that provide the majority of the sugar in the diets of children up to 18yrs).

For each category, the overall levels of sugar per 100g to achieve the 5% and 20% reductions are provided based on sales weighted averages – to help businesses focus reformulation on the top selling products that make the biggest contribution to sugar levels. Average and maximum calories or portion size guidelines for products likely to be consumed by an individual at one time are also provided – the biggest selling individual portion size products will need to decrease to reduce averages across categories.

To monitor progress, the levels of sugars and calories assessed across food categories in 2015 will be used as the baseline. Two detailed assessments (March 2018, March 2020) will be published to advise on progress with lighter reviews & progress reports at 6 monthly intervals.

AB Food Nutrition works with manufacturers to provide nutrient composition values of their products for labelling and also during product development or reformulation. We can work with you to assess the impact recipe changes will have on nutritional content as well as advising on ways to achieve a desired nutritional profile such as a 5% or 20% sugar reduction. Contact Anne for further information about our nutrition and labelling services.

Hooray – I’m FIR compliant…so now what?

You’ve got nutrition information on your product labels, so that’s it – job done and you are fully FIR compliant now….right?

Well, yes and no!recipe-on-table

Whether you have had your nutrition information calculated or analysed, it is only going to be valid for the recipe as it was at the time of the analysis.  If in the future you decide to tweak the recipe, change the way it is processed or launch new products, then you have to make sure you have the nutrition information updated and incorporated on the pack or label before you even begin selling the product.

Even if you never ever change the recipe, nutrient contents of raw materials can change over time so it’s good practice to review your nutrition declaration approximately every 2 to 3 years.  You may need to do this more frequently if you are using a lot of ingredients that have sub-recipes of their own, as your suppliers may also make improvements or changes to their products. Make sure you keep up-to-date specifications or information about all your raw materials so that you are aware if there are any changes that will impact upon your ingredients, allergen and nutrition labels.

can

Is nutrition information here to stay? What about Brexit?

The idea that following Britain’s decision to leave the EU means that we no longer have to follow EU law is a myth I’m afraid.  A spokesperson from the Chartered Trading Standards Institute had said that any changes in food regulation wouldn’t come into effect until at least two years from now so in the meantime the current EU food regulations still stand.  The government has even stated that following Brexit there will be greater flexibility for front-of-pack nutrition information, as currently under EU law, it is only voluntary so, it certainly looks like it is here to stay!

If you have now found yourself in the unfortunate position that the 13 December deadline has passed and you have not implemented the new rules on nutrition labelling yet, make sure you take action as soon as possible.  AB food nutrition specialises in recipe analysis & nutritional labelling advice, and our confidential, personalised yet cost-effective nutrition labelling solutions make us the ideal partner for a food business of any size.

Contact Anne for further details.

Read my earlier blog for a quick reminder of what you should be doing to comply with regulationsxmas

Breaking News: UK definition on ‘small quantities and ‘local’ for nutrition labelling

On 13 December 2014, new rules set out in Regulation (EU) No. 1169/2011 on the provision of food information to the consumer (FIC) became applicable. The provision of nutrition information on a mandatory basis for prepacked foods was introduced in this regulation, however in order to give food businesses time to prepare, the date of application was set at 13 December 2016.

Annex V of this regulation provides a list of foods that are exempt from mandatory nutritional labelling. Included in this list is ‘food, including handcrafted food, directly supplied by the manufacturer of small quantities of products to the final consumer or to local retail establishments directly supplying the final consumer.’

The FIC does not define ‘local’ nor ‘small quantities’ in the exemption. The Commission has said that the interpretation of the exemption is left to individual Member States.

The Department of Health consulted on the issue with key stakeholders from the end of last year / early this year, and I have just received confirmation direct from the Department of Health on the final decision:

The EU definition of a micro-business will be used to define ‘small quantities’, which is

  • a business with less than 10 (full time equivalent) employees
  • turnover/balance sheet total of £1.4 million (the equivalent of €2m).

 

Local retail establishments’ means  ‘sales within the supplying establishment’s own county plus the greater of either the neighbouring county or counties, or 30 miles/50 kilometres from the boundary of the supplying establishment’s county’.

The Department of Health have updated the technical guidance to reflect this interpretation.  The guidance is available here.

Here is a link to a useful Q&A document from the Food Standards Agency.

However, it is important to note that where a permitted nutrition or health claim appears on the labelling, presentation or advertising, nutrition labelling then becomes compulsory (Regulation (EU) No. 1924/2006 lastly amended by Regulation (EU) No. 1047/2012).

If you believe you may be exempt from mandatory nutrition labelling, it is advised you seek advice from your local enforcement authority.

If you do need to apply back of pack nutrition labelling – but have not yet put plans in place, please contact Anne to discuss your requirements and to obtain a competitive quote.

Six months to Christmas… and mandatory nutrition labelling!

christmas decoration

So, with just six months until Christmas – time to start planning your marketing, events and orders …oh… and don’t forget – your mandatory nutrition labelling!

That’s right – the Food Information Regulation (FIR) deadline will be here before you know it. 13th December 2016 to be exact! But, more importantly, you still have time to do something about it if you haven’t already put plans or resources in place to update your labels.

 

So then, a quick reminder of what is required. From 13 December 2016, it will be mandatory to provide “back of pack” nutrition labelling for prepacked food, subject to certain exemptions contained in Annex V of EU Regulation 1169/2011. These exemptions relate mainly to minimally processed foods and those with little nutritional value. (This does not apply to food supplements, natural mineral waters or PARNUTS because these fall under the scope of other Directives with their own nutrition labelling provisions).

You can read more detail on the requirements and presentation of this information in my previous blog post.

But don’t forget, if you offer food for sale via a website, telephone orders or similar, the mandatory nutrition information must also be made available before the purchase is concluded.   The rules for mandatory nutrition labelling also apply if you supply prepacked food to mass caterers for further preparation.

So why, you may ask, have these rules become law?

The prime reason is to enable consumers to make informed choices about the foods they use to suit their dietary needs. The 2007 White Paper “A Strategy for Europe on Nutrition, Overweight and Obesity related health issues”, stressed the need for consumers to have access to clear, consistent and evidence-based information. Having nutrition information provided on packs assists with public health policies concerning nutrition education. Additionally, it’s presence on all products means it will be relevant for all shoppers in every price and product category.

How can I get the nutrient values for my products?

There are basically two options, you can send samples of your finished products to a laboratory for analysis, or the average values can be calculated using known values of the ingredients used and/or generally established & accepted data (such as McCance & Widdowsons 7th Edition).

AB Food Nutrition offers a cost effective, confidential and personal calculation service (contact anne@abfoodnutrition.co.uk for further information and quotes).

It’s important to remember though, that if you regularly make changes to your products the nutrition information will most likely be impacted and so another nutrition analysis or calculation will be required – something to consider when choosing which method you want to use versus overall costs. Additionally, any new products developed after the December deadline will need to have the nutrition information included on the label before you can launch it.

Why it’s a good idea to use professionally trained nutrition experts…

Nutrition labelling must be accurate. Displaying the nutrition information on back of pack is governed by strict food labelling legislation, and the most important rule of food labelling is that the consumer must not be misled. The calculation of nutrient content is very cost effective compared to laboratory analysis (which is approx. 3 times more expensive) – but this can be a difficult task for smaller food businesses that have little or no nutrition and food composition expertise. There are lots of calculation software packages available but the use of these are limited by the need to accurately match ingredients to available food composition data and take account of nutrient changes during production.

Working with technical experts, such as Registered Nutritionists and Dietitians will add credibility to your business. Such experts are professionally trained to calculate and validate comprehensive nutritional analysis based on McCance & Widdowson food and nutrient composition tables. We can also advise on relevant changes to recipes to improve the nutritional profile if required, particularly if you want to make nutrition or health claims. Nutritionists registered with the Association for Nutrition (AfN) work under a strict code of Ethics and Statement of Professional Conduct – absolute confidentiality is guaranteed.

Registered Nutritionists have demonstrated knowledge including a BSc (Hons) or MSc in a nutritional science; applied skills in relation to nutrition and competence to advise on nutrition. They are required to keep up to date through Continuing Professional Development.

Outsourcing your recipe analysis can give you peace of mind particularly if you are juggling lots of work under a tight deadline and you need to focus on creating brilliant products rather than the technicalities of the food labels. Calculated recipe analysis is anything but a simple exercise of addition. To maximise accuracy, the nutrient information for exact amounts of specific ingredients needs to be adjusted for any preparation or cooking technique — an undertaking that requires an in-depth knowledge of food and nutrition. It’s worth noting that any recipe analysis won’t be exact, average values allow for natural variability of foodstuffs as well as seasonal variability, however, it’s important that the actual nutrient content of foods should not deviate too substantially from the labelled values. Hiring an expert to analyse your recipes costs money, but the cost of not doing it right can be exponentially higher.

With a 17+ years food industry and retail background, AB Food Nutrition has many years of experience calculating the nutrient composition of recipes for labels, menu boards and magazines. From just your product recipe we can take the hassle out of nutrition labelling compliance whilst providing an inexpensive, confidential and personal service to your business.

Facebook IconTwitter Icontwitter follow button