Explanatory Memorandum to COM(2003)671 - Addition of vitamins and minerals and of certain other substances to foods

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EXECUTIVE SUMMARY

The proposed Regulation aims to harmonise divergent national rules concerning the addition of vitamins and minerals and of certain other substances to foods in order to ensure a high level of consumer protection and the free circulation of goods within the Community.

1.

The proposed Regulation


defines the purposes for which vitamins and minerals are allowed to be added

lists in Annex I the vitamins and minerals that may be added and in Annex II the vitamin preparations and mineral salts that may be used and refers to their purity criteria

provides for certain restrictions regarding the foods to which vitamins and minerals may be added

set the criteria for the establishment of maximum levels of vitamins and minerals in foods through the procedure of the Standing Committee on the Food Chain and Animal Health

provides for the setting of minimum levels of vitamins and minerals to be established through the procedure of the Standing Committee on the Food Chain and Animal Health

provides for appropriate specific rules on labelling, presentation and advertising of products to which vitamins and minerals have been added in addition or by derogation to other such horizontal rules applicable to all foods

enables Member States to require the notification of the marketing of these products in order to facilitate their monitoring

Finally, the proposed Regulation provides the basis for scrutinising and, where necessary, regulating the addition of certain substances, other than vitamins and minerals, to foods.

2.

INTRODUCTION


1. In its White Paper on Food Safety, the Commission announced that it would put forward a proposal for harmonising rules on the addition of nutrients to food in the European Union (Action no. 61). It is widely recognised today that relevant national rules vary widely and very often result in obstacles to intra-community trade in such products. Therefore it is necessary to harmonise these rules in order to facilitate the free circulation of these products within the Community. At the same time harmonisation would ensure a high level of consumer protection across the Community in general and notably ensure that products concerned do not present any risk for public health.

3.

BACKGROUND


2. Addition of nutrients is generally practised by manufactures either voluntarily or because it is compulsory under national or Community rules. Thus, addition of vitamins and/or minerals is compulsory for a number of foods for particular nutritional uses (dietetic foods) by Community law. At national level, in some Member States, the addition of vitamins and/or minerals is mandatory in margarine (Vitamins A and D), flour (B complex vitamins, iron, and calcium), and salt (iodine). These national rules are dictated by public health considerations that are relevant to national or regional level and the rationale for their mandatory nature cannot be applied at Community level. Therefore, this proposed Regulation does not affect the existing Community rules on addition of nutrients and is not intended to harmonise existing national rules on compulsory addition of nutrients to foods at this stage, although the possibility of adopting harmonised specific rules on the compulsory addition of certain nutrients to certain foods or food categories should not be excluded. This proposal aims to harmonise the rules on the voluntary addition of nutrients in the European Union. The nutrients most commonly added to foods for the purposes mentioned above are vitamins and minerals. For this reason it is considered appropriate for this proposed Regulation to cover only the addition of vitamins and minerals to foods. Some other nutrients are specifically allowed by Community legislation to be added to foods for particular nutritional uses (dietetic foods). Thus amino acids may be added to foods such as infant formulae and follow-on formulae based on soya for improving the quality of the protein. Certain fatty acids also are added to such products for satisfying the particular nutritional requirements of the persons for whom they are intended. However, as said above, rules concerning such products are not the subject of this proposed Regulation.

3. Vitamins and minerals are added to food for three purposes. Firstly, for restoring in the final product offered to the consumer the amount of nutrient(s) lost during the various stages of the storage, handling and manufacturing of foods. Such losses are very often inevitable and may occur even when the latest state of the art in manufacturing process is applied. Secondly, for producing substitute foods that resembles common food in appearance, organoleptic properties and nutritive value. The most well-known of such products is margarine, which was originally produced as a substitute to butter. Thirdly, vitamins and minerals are added to foods for the purpose of fortifying or enriching foods with them, irrespective of whether or not the nutrients are originally present in the food.

4. As already mentioned, national rules on the voluntary addition of vitamins and minerals vary widely. For example addition is allowed without any restrictions in one Member State provided the food is not posing any risk to health while in another the addition is only allowed if it could be demonstrated that there was a nutritional need for the addition of the nutrient. In between, some Member States allow the addition of vitamins and minerals specified in a list but allow different maximum levels to be present in the food. Yet some others prohibit the addition of a few specific vitamins. This is the result of a differing appreciation of the various arguments that are being considered when regulating their addition to foods. Food has two basic functions. One is to provide pleasure and the other is to provide nutrition, that is all the necessary elements for growth, development and maintenance of a healthy life. In addition, food must be safe. Most would agree that in the context of the addition of vitamins and minerals for the purposes outlined above, products to which vitamins and minerals are added should offer to consumers a plausible beneficial nutritional or physiological effect and should be safe when consumed as part of a varied diet.

5. European Union citizens in general have at their disposal a variety of safe foods at affordable prices. Ideally, they should be able to choose a diet that provides all necessary nutrients in adequate quantities according to their individual needs. However, many studies have demonstrated that all individuals do not achieve this ideal situation across the European Union. This may be due to a variety of reasons. Changes to economic and social situations, such as an increased proportion of working women and changes in family structures, affect food purchasing, meal preparation and the number and nature of meals eaten at home. The application of technological progress, both at work and at home, and changes to other life-style factors have contributed to changing dietary needs, in particular a reduction in energy requirements. For example, the UK National Food Survey of 1998 showed that in UK households there has been a 30% decline in the average energy intakes of adults, from 2700 calories in 1960 to 1800 calories in 1998. As a result substantial modifications of eating habits and dietary behaviour have occurred that would place substantial importance on the micronutrient density (amount of vitamins and minerals per given amount of energy) of individual foods and overall diets. In addition, scientific progress has led to a reappraisal of dietary needs for certain nutrients because their effect on specific conditions or diseases has been established or because the baseline that determines need is moving from preventing deficiencies towards ensuring optimal health.

6. It is widely recognised that different groups of the population may be affected. The report of the Scientific Co-operation (SCOOP) task No. 7.1.1., published in April 1997, on the scientific considerations for the development of measures on the addition of vitamins and minerals to foods states: 'The results suggest that for almost all vitamins, minerals and trace elements there exist one or more population groups with intakes below nationally recommended levels. However, some nutrients are mentioned more often than others: iron, iodine and vitamins B2, B6 and D'. The population groups may include adolescents or children, particularly 'picky' ones, women, women during the periconceptual period, the elderly, people on a diet for losing weight, people on vegetarian diets, an increasing number of people having allergies to foods, persons eating a high proportion of 'fast foods' or 'junk foods' and others. The combinations of the specific groups of the population and the nutrients for which the intake may be deficient vary from one Member State of the Community to another.

7. Foods to which vitamins and minerals have been added voluntarily can make a contribution, sometimes significant, to achieving adequate intakes of them and consequently reducing the risk of deficiencies. It is estimated that in general margarine and spreadable fats to which vitamin A and D are added, voluntarily in the great majority of the Member States, contribute about 20% of the Population Reference Intake (PRI) of vitamin A intake and about 30% of the PRI of vitamin D intake for very important groups of the EU population. Fortified breakfast cereals have become, in the 1990s, the principal source of iron in young children's diets in the UK, replacing meat that was the principle source in the 1950s. The same products can also contribute 20% of vitamin D intake and about 20% of intakes of B vitamins in the diets of children. Fortified fruit juices contribute to the calcium and Vitamin C intakes of German adolescents. Therefore, in general, the availability and consumption of these foods can make a significant contribution to nutrient intakes.

4.

SPECIFIC ISSUES OF THE PROPOSAL


ADDITION OF VITAMINS AND MINERALS

8. At international level General Principles for the addition of essential nutrients to foods were adopted by the Codex Alimentarius in 1987. These General Principles provide definitions for the three cases of addition of nutrients to foods mentioned above, namely restoration, nutritional equivalence of substitute foods and fortification or enrichment. The Codex definitions in the first two cases remain valid to a large extent today and could be therefore included in this proposed Regulation. The definition of fortification merits more careful consideration in the context of European Community legislation on the subject.

9. The Codex General Principles, according to the definition of fortification, would allow addition of nutrients to foods 'for the purpose of preventing or correcting a demonstrated deficiency of one or more nutrients in the population or specific groups of the population'. This is a definition that was adopted fifteen years ago having in mind the nutritional situation worldwide at the time. It gives emphasis to preventing or correcting a demonstrated deficiency of a vitamin or a mineral, a situation that was likely to occur, particularly in developing countries. This definition would result in a restrictive regime of fortification and would be difficult to retain for the European Community for a number of reasons. Nutrient deficiencies for specific vitamins and minerals demonstrated by agreed clinical symptoms or other biomarkers are very few, if any, in the European Community today. They would not concern the whole of the EC population but rather specific groups which would not necessarily exist or be the same in all the Member States. Therefore, acceptance of fortification only for such restricted purposes would eliminate the basis for harmonising the EC rules on voluntary addition of nutrients to foods and give reason to those advocating that rules for the addition of nutrients to foods, voluntary or mandatory, should remain the responsibility of national authorities.

10. On the other hand, intakes below the recommended intakes for various vitamins and minerals, as defined at national level, have been reported in many Member States for different groups of the population as mentioned above. Various physiological parameters indicate a poor nutritional status for them too. Changes taking place in food habits may also indicate risk for insufficient intakes as mentioned in point 5. These indicators of 'deficiencies' of vitamins and minerals should therefore be taken into account today. This would be supported by the Codex General Principles which, in the case of fortification programs, accepts that a demonstration of the need for increasing intakes 'may be in the form of actual clinical or subclinical evidence of deficiency, estimates indicating low levels of intake of nutrients or possible deficiencies likely to develop because of changes taking place in food habits'. Further, it is very important to take note of the evolution of scientific thinking with regard to recommended intakes. In the very recent past these would aim to cover the needs of the vast majority of the population in order to avoid deficiencies. Today more recent recommendations from scientific bodies of Member States and of third countries are aimed at providing intakes that would contribute to 'optimal health' for the population. These take into account evolving scientific knowledge on the role and the beneficial effects of certain vitamins and minerals on certain physiological processes and conditions. It is true that many of the beneficial relationships between vitamin and mineral intakes and health are put forward as plausible benefits based on scientific evidence rather than proof. But many would point out that proof may take yet some time. Thus although evidence about the relationship between folic acid and neural tube defects existed for some time, proof came only a few years ago. Selenium was shown to be essential in animals in 1958 whilst it was accepted as essential to humans in 1980 and similar stories can be told for zinc and chromium. There have been reports about boron, silicon, molybdenum, tin, vanadium and other trace elements having a function in animals but because there are no deficiencies or reduced biochemical activity demonstrated in humans the potential beneficial effects of their intake for man remain very much in doubt.

11. The above arguments, which would be in favour of a less strict approach on the addition of vitamins and minerals to foods, are often countered by arguments as to the potential risks that such an approach may entail. Such risks could be the result of two possible effects of fortification. First, it is feared that voluntary fortification practised by the manufacturers in a liberal environment would result in a substantial proliferation of fortified foods. These could progressively replace non-fortified foods in the diet and thus result in excessive intakes of certain nutrients that would represent a risk to the health of consumers. This is a legitimate concern. However, evidence from Member States and third countries, where voluntary fortification is allowed without many or any restrictions, show that the feared proliferation of fortified foods has been fairly limited. Today in these countries, according to data provided by the manufacturers, such foods represent 1-6% of the food supply, a percentage that has remained stable in recent years. In any case, there are measures to be adopted that would avoid risks of excess consumption of vitamins and minerals. Therefore, prohibiting or severely restricting fortification to avoid risk of excess consumption of vitamins and minerals would be considered a disproportionate measure to take at European Community level.

12. Another serious concern is that the proliferation of fortified foods may undermine consumer knowledge of basic nutritional principles and perception of foods. Some national authorities and consumer organisations claim that after substantial efforts they have succeeded in educating consumers about the nutritional value of the different foods and the importance of having a varied diet for ensuring the necessary intakes of the essential nutrients. Fortification could result in diminishing the current importance, in consumers' minds, of certain categories of foods such as fruits, vegetables, dairy products and red meat as sources of vitamins and minerals. People could turn to fortified foods for their vitamin and mineral intakes, change their dietary patterns and thus jeopardise good dietary habits. This, it is feared, could have a detrimental effect on the quantity, quality and ratio of intakes of certain nutrients and other substances, such as fibre, protein, fat and carbohydrate, and constitute a long-term risk for the population. This is also a legitimate concern which, however, at this stage is based on a hypothesis for future market evolution, supported by the observation that often the fortification of foods is used as a promotional tool by the manufacturers. It is not supported by any evidence for such adverse effects in any Community Member State or third countries having experience with voluntary addition of nutrients. Therefore, again, there are measures that can be taken which would be more proportionate than a prohibition or severe restriction of fortification.

13. Instead of severe restrictions on fortification across the board some would advocate selective restrictions on the foods or categories of foods that can be fortified. Practices in some third countries are cited as examples. Thus the USA Food and Drug Administration "does not encourage indiscriminate addition of nutrients to foods, nor does it consider it appropriate to fortify fresh produce; meat, poultry or fish products; sugars or snack foods such as candies and carbonated beverages". The Australia and New Zealand regulatory principles for voluntary addition of vitamins and minerals to general foods allow the addition 'to some basic foods providing the vitamin or mineral is present in the nutrient profile, prior to processing, of a closely associated reference food in the food group to which the basic food belongs'. However they allow the addition of some nutrients to certain categories of foods, even if the criteria are not met, where such additions are historically established (e.g. calcium and vitamin C added to breakfast cereals). They also set certain specific 'nutritional quality' limits for allowing some categories of foods to be fortified (biscuits containing up to 200 g/kg fat and not more than 50g/kg sugar). Health Canada, in policy recommendations on the addition of vitamins and minerals to foods, put forward in 1999 for public comment, suggested criteria for selecting foods to which vitamins and minerals should be allowed to be added. Such foods would be those that provide 10 % or more of the Canadian recommended nutrient intake for at least one nutrient and that would not contain 'disqualifying' nutrient levels (proposed for total fats, saturates and trans fatty acids, and sodium). However it was recognised that 'foods of low nutritional value and foods with high levels of those nutrients for which reduced intake is desirable could also be potential vehicles for reaching specific groups in certain circumstances (e.g. fruit-flavoured drinks and whole milk)'. On the basis of the comments received, Health Canada revised the policy recommendations and put them forward again for further comment. In the new recommendations, among other, the amount of total fat as a 'disqualifying' nutrient level has been dropped. No rules have yet been adopted by Canada following the publication of the above policy document.

14. Consumer organisations in the European Community consider that products that do not have a 'desirable' nutrient profile, such as candies, high salt and high fat snacks or high fat and sugar biscuits and cakes should not be allowed to be fortified. Such foods, they consider, would become more attractive because of their fortification and they would be consumed in greater quantities by many consumers who are currently eating them in moderation. This, they consider, would have a more immediate negative effect in the dietary habits of certain particularly vulnerable sections of the population, like children and adolescents. This view is shared by a number of Member States. This argument has been taken into consideration in the proposed rules regarding nutrition and health claim made for foods. The nutrient profile of a food is proposed to be a criterion for allowing a food to bear claims. In the vast majority of cases manufacturers that add vitamins and minerals to foods wish to make a claim about that addition. Preventing such a claim for a food will be dissuasive for such addition to be effected. It is therefore not necessary to establish nutrient profiles also as a criterion for the foods to which the addition of vitamins and minerals should be allowed.

15. Restrictions to add vitamins and minerals only to foods that originally contain them is strongly contested because such a criterion would unnecessarily deprive certain groups of the population of valuable intakes of some nutrients. For example, consumption of fruit juices or fruit-flavoured soft drinks fortified with calcium may contribute to reaching desirable levels of calcium intakes by persons who cannot drink milk for physiological, taste or social reasons. Cultural and culinary traditions in the different Member States would further complicate the choice of different foods or groups of foods as appropriate or inappropriate for fortification. The exception would be alcoholic beverages. Given the efforts made against alcohol abuse, addition of vitamins and minerals to these products should be prohibited as is proposed to prohibit any claims for them. It should also be clear that the above considerations apply to manufactured foods and that vitamins and minerals should not be added to fresh and non-transformed produce such as fruits, vegetables, meat, poultry, fish etc in order to preserve the original content of these nutrients and avoid any confusion for the consumer.

16. It is worth mentioning a few other points that would be relevant for the complete consideration of the issue. Consumers are becoming more and more conscious about the relationship between nutrition in general and intakes of certain nutrients in particular and health. Therefore, rightly or wrongly, they are increasingly seeking products to which vitamins and minerals have been added. As mentioned in the Nordic Council of Ministers report on the Addition of Nutrients to Foods, in a study conducted in the Nordic countries on behalf of a food company, 78% of consumers in those countries believed that consumers should have the possibility and choice to buy foods fortified with vitamins and minerals although not as many would choose the fortified version (only 33% would choose it). The above figures indicate that it is important for consumers to have choice between fortified and non-fortified foods. Therefore, all those concerned should ensure that allowing voluntary fortification should not lead to the disappearance of the non-fortified versions from the mass distribution chain. This will be a substantial responsibility of the food industry who, on the other hand, requests that the rules on the addition of vitamins and minerals to foods are not unduly restrictive. This would enable it to develop innovative products, beneficial for the consumers, and remain competitive not only at the Community and wider European level but also worldwide. This will be of particular importance now that the obligation has been established, through the recently adopted general principles and requirements of food law, that food exported from the Community for placing on the market of a third country shall comply with the relevant requirements of Community law.

17. Given the modification of nutrient content through the addition of vitamins and minerals, the information for the consumer about the overall nutritional profile of the product could be improved through the labelling. Thus nutrition labelling should become mandatory for all foods to which vitamins and minerals are added on a voluntary basis. It should also be complete in order to give a better overall picture of the food. Specific statements relevant to the importance of a diversified diet can serve to remind and reinforce consumer knowledge on this specific point. As said above, the issue of claims made for fortified products is very important. Claims can give an improved image to fortified foods and hence their potential value as a promotional tool is considerable. Proposals for the harmonisation of claims for foods in general are being put forward by the Commission in parallel with the present proposal on the addition of vitamins and minerals to foods. Appropriate control of relevant claims would be another measure for controlling the impact of fortified foods on the choices of consumers. In parallel efforts to inform and educate consumers on nutritional issues and the importance of good dietary habits for better health and overall well-being should be maintained and, where possible, reinforced.

18. However, there should be vigilance regarding the evolution of the situation once the harmonised rules begin to apply in the European Community. In order to identify any adverse developments that may appear to occur and take the necessary action to prevent or minimise them Member State authorities should be able to monitor the marketing of products to which vitamins and minerals are added as best they can. For this reason they should be able, if they consider it necessary, to require those responsible for the marketing of these products to notify their marketing. It is up to the Member States to decide whether existing means of monitoring, for example regular food intake surveys or other, are sufficient or whether notification should be required for the purpose of monitoring. Authorities, scientific bodies and interested stakeholders should co-operate as much as possible in order to best gather data concerning food intakes that are comparable across the European Community, identify intakes of foods to which vitamins and minerals have been added and estimate with the best possible accuracy the intake of these nutrients. In addition, the gathering of data on relevant indicators should be given priority at national and at European Community level. The Commission should proceed, after a reasonable period following the effective application of the adopted rules, to analyse and report on their effect on the issues mentioned above and any others that may become relevant and to propose any appropriate measures that may be deemed necessary.

19. As said before, it is necessary to adopt measures to ensure that there will be no risk from excessive consumption of nutrients from a varied diet that includes also foods to which vitamins and minerals have been added. It is well known that excessive intakes of some vitamins and minerals would present greater risks to public health than others. A classification to categories according to the potential risk has been proposed by the Nordic Nutrition Recommendations, the French Food Safety Authority and other scientific sources and they tend to coincide. The Scientific Committee for Food (SCF), following a request from the Commission, established upper safe levels for a number of vitamins and minerals based on scientific risk assessment. The European Food Safety Authority that took over the advisory role on scientific matters from the SCF will complete this task for the remaining vitamins and minerals. On the basis of these upper levels and taking into account certain other parameters, maximum levels of vitamins and minerals in foods to which they have been added should be set in order to ensure that the consumption of these foods in the context of a diversified diet will not result in any risk for the consumer. Therefore intakes from all potential food sources, including those naturally present in foods and food supplements, should be taken into account. These maximum levels should also take into account the use of some vitamins or minerals as food additives and flavourings. It should be noted, however, that it is not possible to fortify all foods. This may be due to technological reasons that render addition of vitamins and minerals impossible or would result in products that would not be appealing to the consumer because of the resulting taste, colour, odour or consistency. For others the costs involved would be dissuasive. The population reference intakes or safe and adequate intakes established by the Scientific Committee for Food in 1992 and, more recently, by other authoritative scientific bodies should also be given due consideration.

20. For some vitamins and minerals the amounts that could be permitted to be added, potentially to a wide range of foods, would be limited by safety considerations. Allowing their addition to all foods, on the basis of energy (calorie) content or specific quantity of weight or volume, could result in allowing only insignificant amounts to be added in the different foods. This would be misleading for the consumer and jeopardise the nutritional value of some traditional substitute foods (e.g. margarine) or others that have become an important part of certain meals (e.g. breakfast cereals). It might be therefore necessary in such cases to preferentially limit the addition of a certain vitamin or mineral to only one or a few products or categories of products, taking into account the importance of their contribution to the intake of the vitamin or mineral by the population. In this context another useful criterion would be the nutrient profile of the food that is proposed to be a criterion for allowing a food to make nutrition and health claims in the relevant proposed Regulation under discussion in the European Parliament and the Council. Given the technical and complex nature of setting these maximum levels it is appropriate that they should be adopted through the procedure of the Regulatory Committee when all the technical and scientific data become available.

5.

ADDITION OF CERTAIN OTHER SUBSTANCES


21. In recent years we note the increasing appearance in the composition and labelling of foods of substances or ingredients other than vitamins and minerals that are used in an 'innovative' way. The majority of these substances or ingredients are used on the basis of adequate scientific data supporting a demonstrated or plausible beneficial effect and have permitted the food industry to put forward innovative products for an increasingly health conscious and demanding consumer. The use of certain substances or ingredients though is increasingly cause for concern. This is largely due to the absence of sufficient scientific data to demonstrate that their use in large quantities, often far in excess of the quantities in which these substances would be ingested with a normal diet, do not pose any risks to health. Because of their presence in foods or their use as food ingredients prior to the entry into force of Regulation (EC) 258/97 of the European Parliament and of the Council concerning novel foods and novel food ingredients these substances or ingredients would not fall under the scope of that Regulation. Sometimes their use and presentation in the labelling may lead to questions as to whether they should be treated as ingredients used in the manufacture of foods or whether they should be considered as 'added'. Irrespective of the answer to this question, it would be opportune to regulate the safe use of such substances or ingredients, and where necessary prohibit their use, under this proposed Regulation.

22. For the sake of transparency a Community Register on addition of vitamins and minerals and of certain other substances to foods shall be established and regularly updated. It shall include information regarding vitamins and minerals and the vitamin formulations and mineral salts that may be added to foods and the maximum and minimum amounts permitted and information regarding the mandatory addition of vitamins and minerals in Member States, as the case may be. It shall also include information on the status of substances other than vitamins and minerals and, where necessary, ingredients containing them mentioned in point 21.

23. There are no budgetary implications for the Commission.

- The above-mentioned ' Register ' will be established as a section of DG SANCO's Web-site, using existing budgetary and human resources

- The regulatory committee mentioned in Article 16 is the existing Standing Committee on the Food Chain and Animal Health instituted by Regulation (EC) No 178/2002 ; decisions under this Proposal will be dealt with by the Section on General Food Law of the Committee, which currently meets 6 times a year ; implementation of this proposal will not result in more meetings of this Section being organised

- The management of the Community procedures foreseen in this proposal will not require additional staffing as current infringement procedures should be significantly reduced.

6.

CONSULTATION


24. In preparing this proposal the Commission considered carefully relevant rules that are applicable or are under preparation in third countries. It also took into account the relevant Codex Guidelines. The Commission consulted extensively with Member States and interested stakeholders. To that effect a preliminary draft of the measures to be proposed was discussed with stakeholders in July of 2000 and with the Member States in September 2000. This initial consultation highlighted the wish of Member States and of the stakeholders to harmonise the rules in this area, the similarities with certain issues included in the proposal concerning food supplements that was discussed at the time by the European Parliament and the Council and the strong link that the proposal on the addition of vitamins and minerals to foods should have with the proposal on nutrition and health claims made on foods also under elaboration at the time. Following the adoption of Directive 2002/46/EC of the European Parliament and of the Council on food supplements and taking into account progress in the preparation of the proposals on claims an updated draft proposal was prepared and discussed in February 2003 with the stakeholders and in March 2003 with the Member States. The various views expressed on the individual issues that are covered by the proposal have been considered very carefully. The positions and arguments put forward are reflected in this explanatory note although not necessarily attributed to specific interested parties.

7.

CONCLUSION


25. In conclusion, the proposed rules would contribute to a high level of protection of human life and health and promote the protection of consumer interests by ensuring that the marketed foods to which vitamins and minerals are added or in which certain ingredients are used, are safe and labelled in an adequate and clear manner, allowing consumers to make informed choices. Thus they would be in line with the general principles and requirements of food law as stipulated in Articles 5-8 of the recently adopted Regulation (EC) 178/2002 of the European Parliament and of the Council and with Article 153 of the Treaty. They would also take into account the importance for the food industry to have a regulatory environment that will allow them to innovate and remain competitive at Community and international level. Finally, they would allow monitoring and the possibility to take action if a risk to health or other consumer interests was to appear.