A Consumer Perspective on Biotech Foods
Gregory JaffeDirector, Biotechnology Project
Center for Science in the Public InterestOctober 7, 2004
Center for Science in the Public Interest (CSPI)
• Food and nutrition consumer organization.
• Nutrition Action Healthletter.
• No government or industry funding.
CSPI’s Biotechnology Project
• Purpose– Identifying benefits and risks– Establishing strong regulatory systems in US and abroad– Educating and informing the public
• Positions– Current crops in US appear safe to eat and environmental risks
are manageable– Some benefits from current crops– Future products need to be assessed individually– Regulatory systems in US and abroad need strengthening to
address next generation of products
The Road to Consumer Acceptance
• Providing benefits
• Addressing risks
• Ensuring biotech foods are safe to eat
• Eliminating, minimizing, and/or managing environmental risks
• Addressing controversial applications (biopharming, transgenic animals)
Current GE Crops
• Crops: primarily corn, cotton, canola, and soybeans
• Traits: built-in pesticide or resistance to an herbicide.
• Countries grown: United States, Argentina, Canada and China
• 67 million hectares and 7 million farmers• In Africa, South Africa grows 400,000
hectares of GE corn and cotton
Beneficial Products?
• Environmental Benefits– Less insecticide use– Less harm to wildlife– Less soil erosion and water pollution– Less harmful chemicals– Comparison to organic agriculture
• Farmer Benefits• Consumer Benefits?• NEED TO EXPLAIN BENEFITS TO PUBLIC
Potential Food-Safety Risks from Biotech Foods
• Allergenicity
• Toxicity
• Unintended Effects– Toxicants and anti-nutrients
• Compositional Equivalence– Comparison of conventional and biotech food
Potential Environmental Risks
• Gene Flow– Wild relatives– Native land races (center of origin,
biodiversity) – Superweeds
• Harm to non-targets
• Insect resistance
Social, Economic and Ethical Concerns
• International trade
• Impact on small farmers
• Reliance on multinational corporations
• Intellectual property concerns
• Effect on other farmers (e.g. organic growers)
Safe Biotech Food
• New foods tested before marketed
• Independent agency determination that food is safe
• Mandatory regulatory system
• Government oversight of companies marketing the new food
• Equity in treatment of products
Government Regulation of Genetically Modified Foods
0
5
10
15
20
25
30
35
Too much Too Little RightAmount
Don'tKnow/NoOpinion
Source: http://pewagbiotech.org/research/2003update/2003topline.pdf
FDA Biotech Food Safety Policy -- Plants
• Food, not process
• Not food additives
• Voluntary consultation– everyone has complied– “substantial equivalence”
Problems with Current FDA Policy -- Plants
• Voluntary• Developer-driven scientific data• “Not a comprehensive scientific review” (See
CSPI Report “Plugging Holes in the Biotech Safety Net”)
• “No further questions at this time” response• Future biotech products will need additional
scrutiny• Proposed mandatory pre-market notice
Advantages of Mandatory Approval System
• FDA checks industry and shares responsibility for safety
• Conforms process to EPA process for pesticidal plants and FDA’s process for GE animals
• Treats Americans the same as Europeans, Canadians, and South Americans
• Not more burdensome than FDA proposed process
Companies should be encouraged, but not required, to let the FDA review data regarding the safety of a GM food before that product goes on the market
0
5
10
15
20
25
30
35
40
StronglyAgree
NotstronglyAgree
NotStronglyDisagree
StronglyDisagree
Don'tKnow/NoOpinion
Source: http://pewagbiotech.org/research/2003update/2003topline.pdf
Companies should be required to submit safety data to the FDA for review, and no genetically modified food should be allowed on
the market until the FDA determines it is safe
0
10
20
30
40
50
60
70
80
StronglyAgree
StronglyDisagree
Don'tKnow
Source: http://pewagbiotech.org/research/2003update/2003topline.pdf
Willingness to eat GM Foods if the Federal Government made it mandatory for FDA to approve all GM Foods before
they enter the market place
05
101520253035404550
More Willing Less Willing No Difference Don'tKnow/Not
Sure
CSPI’s Proposal for Approval at FDA
• Mandatory, transparent process completed before marketing
• Specific data requirements and testing guidance
FDA Approves Transgenic Animals Behind Closed Doors
• Treated as “animal drugs” under Section 512 of the FFDCA.
• Reviewed for human and animal safety
• Mandatory premarket approval
• Process is NOT Transparent
• Process is NOT Participatory
• Result: No public trust in decision
Possible Legislative Solution to Enhance Regulatory System
• Genetically Engineered Foods Act (S. 2546) introduced by Senator Durbin (IL) in June, 2004– Sets up transparent, open approval process for
biotech crops– Provides explicit environmental authority to FDA for
transgenic animals– Opens up the review process for transgenic animals– Requires a premarket food-safety approval process
for any engineered food crop (includes “pharming”)
Regulatory System Lacks Adequate Measures to Ensure Environmental Safety
• FDA lacks authority to address environmental concerns of transgenic animals
• USDA does not conduct environmental assessments prior to release for many crops
• Environmental assessments conducted by USDA are inadequate
• USDA has no authority over commercial products that have obtained “nonregulated status”
Oversight and Adherence to Permits
• StarLink• Violations of EPA permits by Pioneer and Dow
for Bt corn rootworm trials in 2002• Prodigene violations• U. Of Illinois transgenic pig violations• Approximately 60 USDA permit violations
between 1995 and 2000• Bt corn insect resistance management (See
CSPI Report “Planting Trouble: Are Farmers Squandering Bt Corn Technology?”
Enforcement
• Do the agencies have the will and resources to oversee the industry and punish the “bad actors”?
The Re-emergence of Biopharming
• CSPI Report: “Sowing Secrecy: The Biotech Industry, USDA, and America’s Secret Pharm Belt.”
• 16 applications for 2004 (6 in corn, 5 in tobacco)
• States covered: CA, TX, AZ, WA, IA, MO, NE, KY, SC
• Both field trials and commercial applications
What About “Pharming” Using Food Crops?
• USDA regulations are inadquate• Federal food law only covers products intended
for use as food or feed• Current federal biotech crops policy is voluntary
consultation• Recent federal policies don’t adequately cover
those crops– OSTP proposals– FDA/USDA guidance– Recent USDA permit conditions (March 10, 2003)
A Regulatory Scheme for “Pharming” Crops
• Thorough environmental assessments • Mandatory premarket food safety approval
before commercialization• Strict containment procedures
– Includes physical isolation– Segregation procedures
• Oversight by federal government (inspections, documentation, etc…)
• Third party independent verification systems
Transgenic Animals
• Extremely controversial
• Current confidential nature of regulation will be viewed very negatively by public
• More than issues of safety – ethical, social, and religious issues
• Potential to harm crop biotechnology
Education and Information
• Need education on biotechnology
• Need education on agriculture
• Need education on the food we currently eat and how it is produced
• Need information about the benefits of biotech foods
• Need to know which specific foods are biotech
Conclusions
• Agricultural Biotechnology is one tool to move agriculture forward
• Need strong regulatory system to safeguard human health and the environment
• Transparency and public participation are essential
• Must have consumer trust in regulatory process to achieve consumer confidence in the marketed products
• Risks to eating current biotech foods are extremely small
Gregory Jaffe, DirectorCSPI Biotechnology Project
Website: www.cspinet.org/biotech/
E-mail address: