Re: Nutrition Innovation Strategy
GFI’s comment requests FDA to clarify the role of standards of identity. Learn how flexible standards support innovation and consumer choice.
GFI’s comment requests FDA to clarify the role of standards of identity. Learn how flexible standards support innovation and consumer choice.
GFI’s comment explains the need for a clear regulatory pathway for cultivated meat. Learn more about cultivated meat and why FDA is well situated to ensure its safety.
GFI urges FDA to not restrict the use of dairy terms on plant-based dairy labels. Learn why censoring the labels is unconstitutional and against longstanding practice.
GFI and several alternative protein companies urge USDA to reject the Cattlemen’s petition which asks it to exclude alternative proteins from the definition of “beef” and “meat.”
GFI’s supplement highlights two new legal developments since submitting its Citizen Petition. Learn why the developments demonstrate a need for clarity from FDA.
GFI urges FDA to respond to the Soyfoods’ petition by allowing new foods to be named by reference to the names of other foods. Learn why this is in line with consumer understanding.
GFI’s petition requests FDA to clarify that new foods may be named by reference to the names of other foods. Learn why doing so would be in line with consumer understanding.