Brunei
Darussalam
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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Canada -
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Current – (distinction between packaged and unpackaged foods not made).
GM foods are treated the same as non-GM foods in relation to labelling requirements. Therefore no mandatory requirement to declare the presence of a GM food or ingredient in a food product.
Reg. - Food and Drug Act (see part 1 section 5).
Proposed - Industry standard for voluntary labelling is being developed. Includes guidelines for making both positive and negative claims.
Source – Standard for Voluntary labelling and Advertising of Foods That Are or Are Not products of Genetic Engineering, June 2003 (Third Letter Ballot Draft)
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Current – mandatory labelling required if there is a health or safety risk (i.e. from allergens) or a significant change in nutrition or composition -these decisions are made by Health Canada based on Safety assessment. No mandatory requirement to indicate that food is also a product of genetic engineering.
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N/A
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N/A
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N/A
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N/A
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N/A
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Current- Canadian Food and Drug Act, part 1 section 5(1) addresses negative GM claims – information must be truthful and not misleading.
Proposed -Industry Standard for voluntary labelling will also address negative claims Proposes a 5% threshold for adventitious presence of GM material when making non-GM claims.
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Chile
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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People’s Republic of China –
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Current – (distinction between packaged and unpackaged foods not made).
Mandatory labelling for prescribed categories of GMOs. 5 categories of GM crops such as soybean, corn, cotton, rapeseed and tomato and some of their products are required to be labelled.
From the information available it cannot be determined if the requirements are based on the presence of novel DNA and/or novel protein in the food or whether the food is derived from an organism produced using gene technology (i.e. labelling regulation is processed based)
Reg. - Regulation of the Safety Administration of Agricultural GMOs (Ministry of Agriculture)
In addition, the Ministry of Health requires labelling of all food products that contain GMOs
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Current - No additional labelling requirements set
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Current - No specific exemption
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Current - No specific exemption
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Current - No specific exemption
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Current - No specific exemption
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Current - No tolerance level has been set.
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Current – The regulation is silent on negative claims although Ministry of Agriculture stipulates that non-GM products should not be labelled GM-Free
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Chinese Taipei
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Current –(distinction between package and unpackaged foods not made)
From the information available, it cannot be determined if the labelling regulations are based on the presence of novel DNA and/or novel protein in the food.
Mandatory labelling for foods containing GM soybean or maize ingredients that are more than 5% by weight. Introduction is phased with compliance dates of:
Jan 01 – raw soybeans and corn, soybean meal/flour, corn grit/meal/flour
Jan 04 – processed products such as tofu, soy milk, soy curd, frozen corn, canned corn, soy protein; and
Jan 05 – highly processed soybean and maize products
Source – based on information from US Department of Agriculture (ABARE Report July 2003)
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Current - No additional labelling requirements set
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Current – soy sauce, soybean oil, corn oil, corn syrup and corn starch are currently exempt.
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Current – No specific exemption but the 5% threshold under the general requirement may exclude this category
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Current – No specific exemption but the 5% threshold under the general requirement may exclude this category
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Current – No specific exemption
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Current – No tolerance level has been set but the 5% threshold under general requirement may address adventitious presence.
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No other details available at this time
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Hong Kong. China
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Current – No regulation in place
Proposed – Voluntary labelling regime for GM foods
Source – Health Welfare and Food Bureau website
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No other details available at this time.
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No other details available at this time.
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N/A
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N/A
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N/A
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N/A
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N/A
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No details available at this time.
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Indonesia
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Current – food derived from biotechnology is required to be labelled.
From the information available, it cannot be determined if the labelling regulations are based on the presence of novel DNA and/or novel protein in the food.
Source - Government Regulation No. 69/1999 (ABARE Report July 2003)
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No other details available at this time.
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No other details available at this time.
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No other details available at this time.
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No other details available at this time.
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No other details available at this time.
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No other details available at this time.
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No other details available at this time.
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No other details available at this time.
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Japan
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Current – (distinction between packaged and unpackaged foods not made).
Labelling is based on the presence of novel DNA and/or novel protein in the food.
Mandatory labelling required for 44 foods derived from GM Soya, Corn and Potato where they are one of three major ingredients and accounts for 5% or more of total weight.
Framework:
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Labelling mandatory when a product contains GM ingredients that have been handled according to IP handling e.g. ‘genetically modified food”
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Labelling mandatory when a non-GM food has not being segregated from GM foods according to IP handling e.g. “not segregated from GM food products”
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Labelling optional when a product does not contain GM ingredients and has been handled according to IP handling e.g. “not genetically modified”
Reg. - Food Sanitation Law (for public health), Ministry of Health Wealth and Labour.
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Current - No additional labelling requirements set.
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Current – Labelling not required where GM DNA or protein is eliminated in final product.
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Current – Labelling not required where GM DNA or protein is eliminated in final product.
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Current – no specific exemption but 5% of weight and major ingredient provisions in general requirement may exclude this category.
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Current –no specific exemption for this category.
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Current - no specific exemption but 5% weight and major ingredient provisions in the general requirement may address adventitious presence.
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Current - Optional only where IP handling in place.
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Korea
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Current – Labelling is based on the presence of novel DNA and/or novel protein in the food.
Mandatory labelling for bulk produce (maize soybeans, soybean sprouts, potatoes) and also of designated processed foods, which contain GM soybean, corn or bean spout as one of the top five ingredients.
Reg. - Labelling Standard for GM foods (KFDA Notification 2000-43, 2001-43)
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Current – Regulation for packaged food applies equally to unpackaged although separate display panels required where individual food items are sold on site.
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Current - No additional labelling requirements set
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Current – Labelling not required for products that do not contain residual recombinant DNA or protein in the final product
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Current – Labelling not required for products that do not contain residual recombinant DNA or protein in the final product.
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Current - No specific exemption but GM ingredient has to be one of the top five in the food, which may exclude this category
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Current – operators of instant food sales do not need to label individual food items sold onsite if separate display panel is displayed.
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Current - Adventitious presence threshold level set at 3% for bulk produce. IP system must be in place.
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Current – When impossible to verify the source of ingredients product can be labelled as ‘may contain GM soybeans’
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Malaysia
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Current – No regulation in place
Proposed – New legislation should come into force on 1 January 2004, which will require mandatory labelling of foods that contain GMO substances that comprise of 3% or more of the volume of the product. From the information available it cannot be determined if the future requirements will be based on presence of novel DNA and/or novel protein in the food.
Source – ABARE Report July 2003
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No other details available at this time.
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No other details available at this time.
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Proposed – no specific exemption
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Proposed – 3% threshold excludes these substances.
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Proposed – 3% threshold excludes these substances.
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No other details available at this time.
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No other details available at this time.
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No other details available at this time.
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Mexico
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Current – No regulation in place
Proposed – Mandatory labelling of all foods containing ingredients derived from GM organisms. Approval of new regulation possibly in September 03. From the information available it cannot be determined if the future requirements will be based on the presence of novel DNA and/or novel protein in the food.
Source – Life Sciences Network, 12 June 2003.
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No other details available at this time.
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No other details available at this time.
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No other details available at this time.
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No other details available at this time.
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No other details available at this time.
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No other details available at this time.
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No other details available at this time.
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No other details available at this time.
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Papua New Guinea
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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Peru
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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Philippines
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Current – Voluntary labelling (in process of developing regulations)
Source – ABARE Report, July 2003
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N/A
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Current – No additional labelling requirements set.
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N/A
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N/A
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N/A
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N/A
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N/A
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No other details available at this time.
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Russia
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Current - (distinction between packaged and unpackaged foods not made).
Mandatory labelling of all GM foods.
Labelling regulation based on the presence of novel DNA and/or novel protein in the food.
Source - Unofficial translation from USDA website, GAIN Report #RS9057,(Russian Federation Food and Agriculture Import Regulations and Standard (Decree))
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Current – No additional labelling requirements set.
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Current – Foods not containing residual GM DNA and protein are not subject to labelling.
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Current – Foods not containing residual GM DNA and protein are not subject to labelling.
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Current – No specific exemption
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Current – No specific exemption
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Current – No specific exemption
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Current - Decree is silent on negative claims.
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Singapore
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Current – no specific regulations on GM foods but Singapore is following the Codex debate
Source – Agrifood and Veterinary Authority of Singapore.
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N/A
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N/A
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N/A
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N/A
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N/A
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N/A
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N/A
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No other details available at this time.
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Thailand
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Current – (distinction between packaged and unpackaged foods not made).
Mandatory labelling required for listed food products (22 soy and corn categories) where they contain recombinant DNA or protein resulting from gene technology of 5% or more and are one of the 3 major ingredients (accounting for 5% or more of the total weight).
Source – Unofficial translation, Notification of Ministry of Public health (no. 251) B.E. 2545
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Current – no additional labelling requirements set
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Current - No specific exemption but general requirement based on presence.
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Current – no specific exemption but 5% threshold and major ingredient provisions in general requirement may exclude this category.
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Current – no specific exemption but 5% threshold and major ingredient provisions in general requirement may exclude this category.
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Current – exemption to ‘small producers’ who produce and directly sell to consumers in a restricted area and also could provide information directly to the consumer.
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Current - No tolerance level has been set but the general 5% tolerance may address adventitious presence.
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Current – all negative claims are prohibited, e.g. ‘free from GM’, ‘Non-GM food’, and ‘segregated GM constituents’.
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United States of America
-FDA’s Draft Guidance for Industry (January 2001);
Federal Drug and Cosmetic Act
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Current – (distinction between packaged and unpackaged foods not made).
GM foods are treated the same as non-GM foods in relation to labelling requirements. Therefore no mandatory requirement to declare the presence of a GM food or ingredient in a food product.
Source – Federal Food, Drug and Cosmetic Act
Industry guidance for voluntary labelling in place.
Source – FDA’s Draft Guidance for Industry, January 2001.
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Current –General requirements under the Federal Food, Drug and Cosmetic Act, section 403(i) and section 201(n) apply. Similar to Australia/New Zealand requirements. In addition, if the common name of the food no longer adequately describes the new GM derived food, the name must also be changed to describe the difference
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N/A
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N/A
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N/A
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N/A
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N/A
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Current –
Industry guidance in place but subject to sections 403(i) & 201(n) of the Federal Food, Drug and Cosmetic Act regarding misleading labelling.
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Vietnam
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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No data available
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European Union
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Current – mandatory labelling of all approved GM foods or ingredients irrespective of presence (i.e. labelling regulation is process based). Picks up highly refined food such as soya or maize oil.
For pre-packaged products consisting of, or containing GMOs, the words “This product contains genetically modified organisms” or “this product contains genetically modified [name of organism(s)]” appear on the label.
Reg. – (EC) No.1830/2003
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Current – mandatory labelling irrespective of presence.
For non-packaged products offered to the final consumer the words “This product contains genetically modified organisms” or “This product contains genetically modified [name of organism(s)]” shall appear on or in connection with the display of the product.
Reg. – (EC) No.1830/2003
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Current - based on equivalence concept, has to be labelled indicating that the new characteristic or property was obtained through genetic modification.
Reg. - (EC) No. 258/97
Current –for additives and flavourings the label must indicate the new characteristic or property and was obtained through genetic modification.
Reg. - (EC) No. 50/2000
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Current – no exemption, mandatory labelling will cover these foods irrespective of presence.
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Current – no exemption for additives, mandatory labelling will apply irrespective of presence.
Processing aids are not covered by the definition of food and feed and therefore not included in the scope of the new regulation. Therefore no mandatory requirement to label processing aids, even where there is the presence of novel DNA and/or protein.
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Current – no exemption, mandatory labelling will cover flavourings.
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Current – No specific exemption. Non-pre-packaged food must have information regarding GM status permanently and visibly displayed either on the food display or immediately next to it.
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Current – a 0.9% threshold for unintentional presence of GM food or ingredients in a non-GM food or feed.
Current – a 0.5% threshold for unintentional presence of GM material in food which has a favourable safety assessment but awaiting approval – NOTE this is not a labelling requirement, if the non-approved GM material is above the threshold, it cannot be legally sold.
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Current – does not address negative GM food labelling claims specifically. However, general requirements in Council Directive 79/112/EEC require that labelling must not mislead the consumer.
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