The Food Label and You
Grocery store aisles are avenues to greater nutritional
knowledge.
Under regulations from the Food and Drug Administration
of the Department of Health and Human Services and the Food Safety
and Inspection Service of the U.S. Department of Agriculture, the
food label offers more complete, useful and accurate nutrition information
than ever before.
With today's food labels, consumers get:
* nutrition information about almost every food in
the grocery store
* distinctive, easy-to-read formats that enable consumers to more
quickly find the information they need to make healthful food choices
* information on the amount per serving of saturated fat, cholesterol,
dietary fiber, and other nutrients of major health concern
* nutrient reference values, expressed as % Daily Values, that help
consumers see how a food fits into an overall daily diet
* uniform definitions for terms that describe a food's nutrient content--such
as "light," "low-fat," and "high-fiber"--to
ensure that such terms mean the same for any product on which they
appear
* claims about the relationship between a nutrient or food and a disease
or health-related condition, such as calcium and osteoporosis, and
fat and cancer. These are helpful for people who are concerned about
eating foods that may help keep them healthier longer.
* standardized serving sizes that make nutritional comparisons of
similar products easier
* declaration of total percentage of juice in juice drinks. This enables
consumers to know exactly how much juice is in a product.
These and other changes are part of final rules published
in the Federal Register in 1992 and 1993. FDA's rules implement the
provisions of the Nutrition Labeling and Education Act of 1990 (NLEA),
which, among other things, requires nutrition labeling for most foods
(except meat and poultry) and authorizes the use of nutrient content
claims and appropriate FDA-approved health claims.
Meat and poultry products regulated by USDA are not
covered by NLEA. However, USDA's regulations closely parallel FDA's
rules, summarized here.
Nutrition Labeling--Applicable Foods
Under these rules, nutrition labeling is required for
most foods. In addition, voluntary nutrition information is available
for many raw foods: the 20 most frequently eaten raw fruits, vegetables
and fish each, under FDA's voluntary point-of-purchase nutrition information
program, and the 45 best-selling cuts of meat, under USDA's program.
Although voluntary, FDA's program for raw produce and
fish carries a strong incentive for retailers to participate. The
program will remain voluntary only if at least 60 percent of a nationwide
sample of retailers continue to provide the necessary information.
(In a 1996 survey, FDA found that more than 70 percent of U.S. food
stores were complying.)
Also nutrition information is required for some restaurant
foods. FDA requires nutrition information for foods about which health
or nutrient-content claims are made on restaurant menus, signs or
placards. Restaurants have to provide a "reasonable basis"
for making claims, although they are given some flexibility in demonstrating
that reasonable basis. For example, they could rely on recipes endorsed
by medical or dietary groups.
Nutrition Labeling--Exemptions
Under NLEA, some foods are exempt from nutrition labeling.
These include:
* food served for immediate consumption, such as that
served in hospital cafeterias and airplanes, and that sold by food
service vendors--for example, mall cookie counters, sidewalk vendors,
and vending machines
* ready-to-eat food that is not for immediate consumption but is prepared
primarily on site--for example, bakery, deli, and candy store items
* food shipped in bulk, as long as it is not for sale in that form
to consumers
* medical foods, such as those used to address the nutritional needs
of patients with certain diseases
* plain coffee and tea, some spices, and other foods that contain
no significant amounts of any nutrients.
Food produced by small businesses also may be exempt,
under 1993 amendments to the NLEA. Businesses with fewer than 100
full-time equivalent employees may claim an exemption for food products
that have U.S. sales of fewer than 100,000 units annually. Companies
claiming this exemption must notify FDA that they meet the criteria
before they begin marketing their products. U.S. companies, other
than importers, with fewer than 10 full-time equivalent employees
and selling fewer than 10,000 units of a food in a year also are exempt
but do not need to notify FDA. Also exempt are retailers with annual
gross sales in the United States of less than $500,000 or with annual
gross sales of food to consumers in the United States of less than
$50,000.
Although certain foods may be exempt, they are free
to carry nutrition information, when appropriate--as long as it complies
with regulations. Also, these foods will lose their exemption if their
labels carry a nutrient content or health claim or any other nutrition
information.
Nutrition information about game meats--such as deer,
bison, rabbit, quail, wild turkey, and ostrich--is not required on
individual packages. Instead, it can be given on counter cards, signs,
or other point-of-purchase materials. Because few nutrient data exist
for these foods, FDA believes that allowing this option will enable
game meat producers to give first priority to collecting appropriate
data and make it easier for them to update the information as it becomes
available.
Nutrition Information Panel
Under the label's "Nutrition Facts" panel,
manufacturers are required to provide information on certain nutrients.
The mandatory (underlined) and voluntary components and the order
in which they must appear are:
* total calories
* calories from fat
* calories from saturated fat
* total fat
* saturated fat
* polyunsaturated fat
* monounsaturated fat
* cholesterol
* sodium
* potassium
* total carbohydrate
* dietary fiber
* soluble fiber
* insoluble fiber
* sugars
* sugar alcohol (for example, the sugar substitutes xylitol, mannitol
and sorbitol)
* other carbohydrate (the difference between total carbohydrate and
the sum of dietary fiber, sugars, and sugar alcohol if declared)
* protein
* vitamin A
* percent of vitamin A present as beta-carotene
* vitamin C
* calcium
* iron
* other essential vitamins and minerals
If a claim is made about any of the optional components,
or if a food is fortified or enriched with any of them, nutrition
information for these components becomes mandatory.
These mandatory and voluntary components are the only
ones allowed on the Nutrition Facts panel. The listing of single amino
acids, maltodextrin, calories from polyunsaturated fat, and calories
from carbohydrates, for example, may not appear as part of the Nutrition
Facts on the label.
The required nutrients were selected because they address
today's health concerns. The order in which they must appear reflects
the priority of current dietary recommendations.
Nutrition Panel Format
All nutrients must be declared as percentages of the
Daily Values which are label reference values. The amount, in grams
or milligrams, of macronutrients (such as fat, cholesterol, sodium,
carbohydrates, and protein) are still listed to the immediate right
of these nutrients. But, for the first time, a column headed "%
Daily Value" appears on the far right side.
Declaring nutrients as a percentage of the Daily Values
is intended to prevent misinterpretations that arise with quantitative
values. For example, a food with 140 milligrams (mg) of sodium could
be mistaken for a high-sodium food because 140 is a relatively large
number. In actuality, however, that amount represents less than 6
percent of the Daily Value for sodium, which is 2,400 mg.
On the other hand, a food with 5 g of saturated fat
could be construed as being low in that nutrient. In fact, that food
would provide one-fourth the total Daily Value because 20 g is the
Daily Value for saturated fat.
Nutrition Panel Footnote
The % Daily Value listing carries a footnote saying
that the percentages are based on a 2,000-calorie diet. Some nutrition
labels--at least those on larger packages--have these additional footnotes:
* a sentence noting that a person's individual nutrient
goals are based on his or her calorie needs
* lists of the daily values for selected nutrients for a 2,000- and
a 2,500-calorie diet.
An optional footnote for packages of any size is the
number of calories per gram of fat (9), and carbohydrate and protein
(4).
Format Modifications
In some circumstances, variations in the format of the
nutrition panel are allowed. Some are mandatory. For example, the
labels of foods for children under 2 (except infant formula, which
has special labeling rules under the Infant Formula Act of 1980) may
not carry information about saturated fat, polyunsaturated fat, monounsaturated
fat, cholesterol, calories from fat, or calories from saturated fat.
The reason is to prevent parents from wrongly assuming
that infants and toddlers should restrict their fat intake, when,
in fact, they should not. Fat is important during these years to ensure
adequate growth and development.
The labels of foods for children under 4 may not include
the % Daily Values for total fat, saturated fat, cholesterol, sodium,
potassium, total carbohydrate, and dietary fiber. They may carry %
Daily Values for protein, vitamins and minerals, however. These nutrients
are the only ones for which FDA has set Daily Values for this age
group.
Thus, the top portion of the "Nutrition Facts"
panels of foods for children under 4 will consist of two columns.
The nutrients' names will be listed on the left and their quantitative
amounts will be on the right. The bottom portion will provide the
% Daily Values for protein, vitamins and minerals. Only the calorie
conversion information may be given as a footnote.
Some foods qualify for a simplified label format. This
format is allowed when the food contains insignificant amounts of
seven or more of the mandatory nutrients and total calories. "Insignificant"
means that a declaration of zero could be made in nutrition labeling,
or, for total carbohydrate, dietary fiber, and protein, the declaration
states "less than 1 g."
For foods for children under 2, the simplified format
may be used if the product contains insignificant amounts of six or
more of the following: calories, total fat, sodium, total carbohydrate,
dietary fiber, sugars, protein, vitamins A and C, calcium, and iron.
If the simplified format is used, information on total
calories, total fat, total carbohydrate, protein, and sodium--even
if they are present in insignificant amounts--must be listed. Other
nutrients, along with calories from fat, must be shown if they are
present in more than insignificant amounts. Nutrients added to the
food must be listed, too.
Some format exceptions exist for small and medium-size
packages. Packages with less than 12 square inches of available labeling
space (about the size of a package of chewing gum) do not have to
carry nutrition information unless a nutrient content or health claim
is made for the product. However, they must provide an address or
telephone number for consumers to obtain the required nutrition information.
If manufacturers wish to provide nutrition information
on these packages voluntarily, they have several options: (1) present
the information in a smaller type size than that required for larger
packages, or (2) present the information in a tabular or linear (string)
format.
The tabular and linear formats also may be used on packages
that have less than 40 square inches available for labeling and insufficient
space for the full vertical format.
Other options for packages with less than 40 square
inches of label space are:
* abbreviating names of dietary components
* omitting all footnotes, except for the statement that "Percent
Daily Values are based on a 2,000-calorie diet"
* placing nutrition information on other panels readily seen by consumers.
A select group of packages with more than 40 square
inches of labeling space is allowed a format exception, too. These
are packages with insufficient vertical space (about 3 inches) to
accommodate the required information. Some examples are bread bags,
pie boxes, and bags of frozen vegetables. On these packages, the "Nutrition
Facts" panel may appear, in tabular format, with the footnote
information appearing to the far right.
For larger packages in which there is not sufficient
space on the principal display panel or the information panel (the
panel to the right of the principal display), FDA allows nutrition
information to appear on any label panel that is readily seen by consumers.
This lessens the chances of overcrowding of information and encourages
manufacturers to provide the greatest amount of nutrition information
possible.
For products that require additional preparation before
eating, such as dry cake mixes and dry pasta dinners, or that are
usually eaten with one or more additional foods, such as breakfast
cereals with milk, FDA encourages manufacturers to provide voluntarily
a second column of nutrition information. This is known as dual declaration.
With this variation, the first column, which is mandatory,
contains nutrition information for the food as purchased. The second
gives information about the food as prepared and eaten.
Still another variation is the aggregate display. This
is allowed on labels of variety-pack food items, such as ready-to-eat
cereals and assorted flavors of individual ice cream cups. With this
display, the quantitative amount and % Daily Value for each nutrient
are listed in separate columns under the name of each food.
Serving Sizes
The serving size remains the basis for reporting each
food's nutrient content. However, unlike in the past, when the serving
size was up to the discretion of the food manufacturer, serving sizes
now are more uniform and reflect the amounts people actually eat.
They also must be expressed in both common household and metric measures.
FDA allows as common household measures: the cup, tablespoon,
teaspoon, piece, slice, fraction (such as "1/4 pizza"),
and common household containers used to package food products (such
as a jar or tray). Ounces may be used, but only if a common household
unit is not applicable and an appropriate visual unit is given--for
example, 1 oz (28g/about 1/2 pickle).
Grams (g) and milliliters (mL) are the metric units
that are used in serving size statements.
NLEA defines serving size as the amount of food customarily
eaten at one time. The serving sizes that appear on food labels are
based on FDA-established lists of "Reference Amounts Customarily
Consumed Per Eating Occasion."
These reference amounts, which are part of the regulations,
are broken down into 139 FDA-regulated food product categories, including
11 groups of foods specially formulated or processed for infants or
children under 4. They list the amounts of food customarily consumed
per eating occasion for each category, based primarily on national
food consumption surveys. FDA's list also gives the suggested label
statement for serving size declaration. For example, the category
"breads (excluding sweet quick type), rolls" has a reference
amount of 50 g, and the appropriate label statement for sliced bread
or roll is "___ piece(s) ( _ g)" or, for unsliced bread,
"2 oz (56 g/_ inch slice)."
The serving size of products that come in discrete units,
such as cookies, candy bars, and sliced products, is the number of
whole units that most closely approximates the reference amount. Cookies
are an example. Under the "bakery products" category, cookies
have a reference amount of 30 g. The household measure closest to
that amount is the number of cookies that comes closest to weighing
30 g. Thus, the serving size on the label of a package of cookies
in which each cookie weighs 13 g would read "2 cookies (26 g)."
If one unit weighs more than 50 percent but less than
200 percent of the reference amount, the serving size is one unit.
For example, the reference amount for bread is 50 g; therefore, the
label of a loaf of bread in which each slice weighs more than 25 g
would state a serving size of one slice.
Certain rules apply to food products that are packaged
and sold individually. If such an individual package is less than
200 percent of the applicable reference amount, the item qualifies
as one serving. Thus, a 360-mL (12-fluid-ounce) can of soda is one
serving, since the reference amount for carbonated beverages is 240
mL (8 ounces).
However, if the product has a reference amount of 100
g or 100 mL or more and the package contains more than 150 percent
but less than 200 percent of the reference amount, manufacturers have
the option of deciding whether the product can be one or two servings.
An example is a 15-ounce (420 g) can of soup. The serving
size reference amount for soup is 245 g. Therefore, the manufacturer
has the option to declare the can of soup as one or two servings.
Daily Values--DRVs
The new label reference value, Daily Value, comprises
two sets of dietary standards: Daily Reference Values (DRVs) and Reference
Daily Intakes (RDIs). Only the Daily Value term appears on the label,
though, to make label reading less confusing.
DRVs have been established for macronutrients that are
sources of energy: fat, saturated fat, total carbohydrate (including
fiber), and protein; and for cholesterol, sodium and potassium, which
do not contribute calories.
DRVs for the energy-producing nutrients are based on
the number of calories consumed per day. A daily intake of 2,000 calories
has been established as the reference. This level was chosen, in part,
because it approximates the caloric requirements for postmenopausal
women. This group has the highest risk for excessive intake of calories
and fat.
DRVs for the energy-producing nutrients are calculated
as follows:
* fat based on 30 percent of calories
* saturated fat based on 10 percent of calories
* carbohydrate based on 60 percent of calories
* protein based on 10 percent of calories. (The DRV for protein applies
only to adults and children over 4. RDIs for protein for special groups
have been established.)
* fiber based on 11.5 g of fiber per 1,000 calories.
Because of current public health recommendations, DRVs
for some nutrients represent the uppermost limit that is considered
desirable.The DRVs for total fat, saturated fat, cholesterol, and
sodium are:
* total fat: less than 65 g
* saturated fat: less than 20 g
* cholesterol: less than 300 mg
* sodium: less than 2,400 mg
Daily Values--RDIs
"Reference Daily Intake" replaces the term
"U.S. RDA," which was introduced in 1973 as a label reference
value for vitamins, minerals and protein in voluntary nutrition labeling.
The name change was sought because of confusion that existed over
"U.S. RDAs," the values determined by FDA and used on food
labels, and "RDAs" (Recommended Dietary Allowances), the
values determined by the National Academy of Sciences for various
population groups and used by FDA to figure the U.S. RDAs.
However, the values for the new RDIs remain the same
as the old U.S. RDAs for the time being.
Nutrient Content Claims
The regulations also spell out what terms may be used
to describe the level of a nutrient in a food and how they can be
used. These are the core terms:
* Free. This term means that a product contains no
amount of, or only trivial or "physiologically inconsequential"
amounts of, one or more of these components: fat, saturated fat, cholesterol,
sodium, sugars, and calories. For example, "calorie-free"
means fewer than 5 calories per serving, and "sugar-free"
and "fat-free" both mean less than 0.5 g per serving. Synonyms
for "free" include "without," "no" and
"zero." A synonym for fat-free milk is "skim".
* Low. This term can be used on foods that can be eaten frequently
without exceeding dietary guidelines for one or more of these components:
fat, saturated fat, cholesterol, sodium, and calories. Thus, descriptors
are defined as follows:
o low-fat: 3 g or less per serving
o low-saturated fat: 1 g or less per serving
o low-sodium: 140 mg or less per serving
o very low sodium: 35 mg or less per serving
o low-cholesterol: 20 mg or less and 2 g or less of saturated fat
per serving
o low-calorie: 40 calories or less per serving.
Synonyms for low include "little," "few,"
"low source of," and "contains a small amount of."
* Lean and extra lean. These terms can be used to describe
the fat content of meat, poultry, seafood, and game meats.
o lean: less than 10 g fat, 4.5 g or less saturated fat, and less
than 95 mg cholesterol per serving and per 100 g.
o extra lean: less than 5 g fat, less than 2 g saturated fat, and
less than 95 mg cholesterol per serving and per 100 g.
* High. This term can be used if the food contains 20 percent or more
of the Daily Value for a particular nutrient in a serving.
* Good source. This term means that one serving of a food contains
10 to 19 percent of the Daily Value for a particular nutrient.
* Reduced. This term means that a nutritionally altered product contains
at least 25 percent less of a nutrient or of calories than the regular,
or reference, product. However, a reduced claim can't be made on a
product if its reference food already meets the requirement for a
"low" claim.
* Less. This term means that a food, whether altered or not, contains
25 percent less of a nutrient or of calories than the reference food.
For example, pretzels that have 25 percent less fat than potato chips
could carry a "less" claim. "Fewer" is an acceptable
synonym.
* Light. This descriptor can mean two things:
o First, that a nutritionally altered product contains one-third fewer
calories or half the fat of the reference food. If the food derives
50 percent or more of its calories from fat, the reduction must be
50 percent of the fat.
o Second, that the sodium content of a low-calorie, low-fat food has
been reduced by 50 percent. In addition, "light in sodium"
may be used on food in which the sodium content has been reduced by
at least 50 percent.
The term "light" still can be used to describe
such properties as texture and color, as long as the label explains
the intent--for example, "light brown sugar" and "light
and fluffy."
* More. This term means that a serving of food, whether altered or
not, contains a nutrient that is at least 10 percent of the Daily
Value more than the reference food. The 10 percent of Daily Value
also applies to "fortified," "enriched" and "added"
"extra and plus" claims, but in those cases, the food must
be altered.
Alternative spelling of these descriptive terms and
their synonyms is allowed--for example, "hi" and "lo"--as
long as the alternatives are not misleading.
Healthy. A "healthy" food must be low in fat
and saturated fat and contain limited amounts of cholesterol and sodium.
In addition, if it' s a single-item food, it must provide at least
10 percent of one or more of vitamins A or C, iron, calcium, protein,
or fiber. Exempt from this "10-percent" rule are certain
raw, canned and frozen fruits and vegetables and certain cereal-grain
products. These foods can be labeled "healthy," if they
do not contain ingredients that change the nutritional profile, and,
in the case of enriched grain products, conform to standards of identity,
which call for certain required ingredients. If it's a meal-type product,
such as frozen entrees and multi-course frozen dinners, it must provide
10 percent of two or three of these vitamins or minerals or of protein
or fiber, in addition to meeting the other criteria. The sodium content
cannot exceed 360 mg per serving for individual foods and 480 mg per
serving for meal-type products.
Other Definitions
The regulations also address other claims. Among them:
* Percent fat free: A product bearing this claim must
be a low-fat or a fat-free product. In addition, the claim must accurately
reflect the amount of fat present in 100 g of the food. Thus, if a
food contains 2.5 g fat per 50 g, the claim must be "95 percent
fat free."
* Implied: These types of claims are prohibited when they wrongfully
imply that a food contains or does not contain a meaningful level
of a nutrient. For example, a product claiming to be made with an
ingredient known to be a source of fiber (such as "made with
oat bran") is not allowed unless the product contains enough
of that ingredient (for example, oat bran) to meet the definition
for "good source" of fiber. As another example, a claim
that a product contains "no tropical oils" is allowed--but
only on foods that are "low" in saturated fat because consumers
have come to equate tropical oils with high saturated fat.
* Meals and main dishes: Claims that a meal or main dish is "free"
of a nutrient, such as sodium or cholesterol, must meet the same requirements
as those for individual foods. Other claims can be used under special
circumstances. For example, "low-calorie" means the meal
or main dish contains 120 calories or less per 100 g. "Low-sodium"
means the food has 140 mg or less per 100 g. "Low-cholesterol"
means the food contains 20 mg cholesterol or less per 100 g and no
more than 2 g saturated fat. "Light" means the meal or main
dish is low-fat or low-calorie.
* Standardized foods: Any nutrient content claim, such as "reduced
fat," "low calorie," and "light," may be
used in conjunction with a standardized term if the new product has
been specifically formulated to meet FDA's criteria for that claim,
if the product is not nutritionally inferior to the traditional standardized
food, and the new product complies with certain compositional requirements
set by FDA. A new product bearing a claim also must have performance
characteristics similar to the referenced traditional standardized
food. If the product doesn't, and the differences materially limit
the product's use, its label must state the differences (for example,
not recommended for baking) to inform consumers.
'Fresh'
Although not mandated by NLEA, FDA has issued a regulation
for the term "fresh." The agency took this step because
of concern over the term's possible misuse on some food labels.
The regulation defines the term "fresh" when
it is used to suggest that a food is raw or unprocessed. In this context,
"fresh" can be used only on a food that is raw, has never
been frozen or heated, and contains no preservatives. (Irradiation
at low levels is allowed.) "Fresh frozen," "frozen
fresh," and "freshly frozen" can be used for foods
that are quickly frozen while still fresh. Blanching (brief scalding
before freezing to prevent nutrient breakdown) is allowed.
Other uses of the term "fresh," such as in
"fresh milk" or "freshly baked bread," are not
affected.
Baby Foods
FDA is not allowing broad use of nutrient claims on
infant and toddler foods. However, the agency may propose claims specifically
for these foods at a later date. The terms "unsweetened"
and "unsalted" are allowed on these foods, however, because
they relate to taste and not nutrient content.
Health Claims
Claims for 10 relationships between a nutrient or a
food and the risk of a disease or health-related condition are now
allowed. They can be made in several ways: through third-party references
(such as the National Cancer Institute), statements, symbols (such
as a heart), and vignettes or descriptions. Whatever the case, the
claim must meet the requirements for authorized health claims--for
example, they cannot state the degree of risk reduction and can only
use "may" or "might" in discussing the nutrient
or food-disease relationship. And they must state that other factors
play a role in that disease.
The claims also must be phrased so that consumers can
understand the relationship between the nutrient and the disease and
the nutrient's importance in relationship to a daily diet.
An example of an appropriate claim is: "While many
factors affect heart disease, diets low in saturated fat and cholesterol
may reduce the risk of this disease."
The allowed nutrient-disease relationship claims and
rules for their use are:
* Calcium and osteoporosis: To carry this claim, a
food must contain 20 percent or more of the Daily Value for calcium
(200 mg) per serving, have a calcium content that equals or exceeds
the food's content of phosphorus, and contain a form of calcium that
can be readily absorbed and used by the body. The claim must name
the target group most in need of adequate calcium intakes (that is,
teens and young adult white and Asian women) and state the need for
exercise and a healthy diet. A product that contains 40 percent or
more of the Daily Value for calcium must state on the label that a
total dietary intake greater than 200 percent of the Daily Value for
calcium (that is, 2,000 mg or more) has no further known benefit.
* Fat and cancer: To carry this claim, a food must meet the nutrient
content claim requirements for "low-fat" or, if fish and
game meats, for "extra lean."
* Saturated fat and cholesterol and coronary heart disease (CHD):
This claim may be used if the food meets the definitions for the nutrient
content claim "low saturated fat," "low-cholesterol,"
and "low-fat," or, if fish and game meats, for "extra
lean." It may mention the link between reduced risk of CHD and
lower saturated fat and cholesterol intakes to lower blood cholesterol
levels.
* Fiber-containing grain products, fruits and vegetables and cancer:
To carry this claim, a food must be or must contain a grain product,
fruit or vegetable and meet the nutrient content claim requirements
for "low-fat," and, without fortification, be a "good
source" of dietary fiber.
* Fruits, vegetables and grain products that contain fiber and risk
of CHD: To carry this claim, a food must be or must contain fruits,
vegetables and grain products. It also must meet the nutrient content
claim requirements for "low saturated fat," "low-cholesterol,"
and "low-fat" and contain, without fortification, at least
0.6 g soluble fiber per serving.
* Sodium and hypertension (high blood pressure): To carry this claim,
a food must meet the nutrient content claim requirements for "low-sodium."
* Fruits and vegetables and cancer: This claim may be made for fruits
and vegetables that meet the nutrient content claim requirements for
"low-fat" and that, without fortification, for "good
source" of at least one of the following: dietary fiber or vitamins
A or C. This claim relates diets low in fat and rich in fruits and
vegetables (and thus vitamins A and C and dietary fiber) to reduced
cancer risk. FDA authorized this claim in place of an antioxidant
vitamin and cancer claim.
* Folic acid and neural tube defects: Folic acid and neural tube defects:
This claim is allowed on dietary supplements that contain sufficient
folate and on conventional foods that are naturally good sources of
folate, as long as they do not provide more than 100 percent of the
Daily Value for vitamin A as retinol or preformed vitamin A or vitamin
D. A sample claim is "healthful diets with adequate folate may
reduce a woman's risk of having a child with a brain or spinal cord
defect."
* Dietary sugar alcohols and dental caries (cavities): This claim
applies to food products, such as candy or gum, containing the sugar
alcohols xylitol, sorbitol, mannitol, maltitol, isomalt, lactitol,
hydrogenated starch hydrolysates, hydrogenated glucose syrups, or
a combination of any of these. If the food also contains a fermentalbe
carbohydrate, such as sugar, the food cannot lower the pH of plaque
in the mouth below 5.7. Besides the food ingredient's relationship
to dental caries, the claim also must state that frequent between-meal
consumption of foods high in sugars and starches promotes tooth decay.
A shortened claim is allowed on food packages with less than 15 square
inches of labeling surface area.
* Soluble fiber from certain foods, such as whole oats and psyllium
seed husk, and heart disease: This claim must state that the fiber
also needs to be part of a diet low in saturated fat and cholesterol,
and the food must provide sufficient soluble fiber. The amount of
soluble fiber in a serving of the food must be listed on the Nutrition
Facts panel.
(See updated information on additional health claims
below.)
Ingredient Labeling
Ingredient declaration is required on all foods that
have more than one ingredient.
Because people may be allergic to certain additives
and to help them better avoid them, the ingredient list must include,
when appropriate:
* FDA-certified color additives, such as FD&C Blue
No. 1, by name
* sources of protein hydrolysates, which are used in many foods as
flavors and flavor enhancers
* declaration of caseinate as a milk derivative in the ingredient
list of foods that claim to be non-dairy, such as coffee whiteners.
As required by NLEA, beverages that claim to contain
juice must declare the total percentage of juice on the information
panel. In addition, FDA's regulation establishes criteria for naming
juice beverages. For example, when the label of a multi-juice beverage
states one or more--but not all--of the juices present, and the predominantly
named juice is present in minor amounts, the product' s name must
state that the beverage is flavored with that juice or declare the
amount of the juice in a 5 percent range--for example, "raspberry-flavored
juice blend" or "juice blend, 2 to 7 percent raspberry juice."