Definition of PRIMARY PRODUCTION AND PROCESSING
Concerned about definitions and interpretation where they could be inconsistent with or a duplication of Part 3 and Part 4 of the Code. [Dept of Health WA]
Need to provide clear criteria for the boundary of ‘primary production’. Reference to Clause 3 requirements for a ‘seafood business’ being less stringent than those of a Chapter 3 ‘food business’, and that the editorial notes for Clauses 13 and 24 emphasise the need to comply with 3.2.2 and 3.2.3 for activities beyond primary production. [NSW Seafood Industry Conference]
In the editorial note defining ‘primary food production’, there is a need for activities listed to apply to ‘on premises’ as well as ‘off site’. [QLD Health]
Important to explain the term ‘substantial transformation’ in terms of the seafood industry as this is an important part of the definition of primary food production and therefore the delineation of businesses that have to comply with 4.2.1 as opposed to Chapter 3. Requirements for a ‘seafood business’ under proposed standard are less stringent than those required for a ‘food business’ in Chapter 3. Need to provide clear criteria on the boundary of primary processing. [NSW Food Authority]
A clear distinction between what is primary production and what is beyond that is needed. Given that Table 20 specifies the ‘primary production of bivalve molluscs’ and that food safety plans are to be implemented ‘up to the beginning of the retail sector’ then shucking of oysters will be considered within ‘primary production’. Yet this will not be consistent with the current definition in 2(2). [NSW Food Authority]
Notes the confusions between ‘primary production’ and ‘primary processing’ and the uncertainty regarding when Part 3 of the Code commences. Suggests that Part 3 of the Code apply for finfish from the filleting process and beyond. [Dept of Health WA]
Include a definition of substantial transformation and/or primary production as these are critical factors in determining whether the product is considered to meet 3.1.1 or 4.2.1. [SA Fishing Industry Council] Probably mean 3.2.1
Need to expand definition of primary production to include processing. Suggests the definition from Section 11 of the Food Production (Safety) Act 2000 which in part includes: ‘the dismembering, filleting, peeling or shucking of seafood or adding brine to seafood and the boiling of crustaceans’. Could be achieved by Editorial Note. [Safe Food QLD]
The definitions of seafood and seafood business should relate to the activities to be covered by the standard. A schedule defining the range of regulated activities should be provided for such, as is contained in the Table to Clause 20. [SA Fishing Industry Council]
Wild oyster harvesting is not included in the definition of ‘primary food production’ as it presently appears. [QLD Health]
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