Become a member

News

News / Technical

INDUSTRY GUIDANCE ON CONTAMINATION OF SOYABEAN LECITHIN WITH PEANUT PROTEIN

On 13 May 2022, the Food Standards Agency (FSA) and Food Standards Scotland (FSS) issued a letter to make food businesses and local authorities (LAs) aware of batches of soyabean lecithin imported to the UK from India containing undeclared peanut protein.

The letter included guidance for food businesses to use to enable them to manage this issue and meet their statutory responsibility of not putting unsafe food on the market.

We are writing to you to provide an update on this situation and request further cooperation from food businesses and LAs.

The FSA have received the root cause analysis along with the corrective action plan from the Lecithin Association of India. The information in that document highlights further actions required to manage any current and ongoing risk of soyabean lecithin containing undeclared peanut protein. At this time, there is not an indication of when the issue might be resolved or for how long these actions will need to continue.

As part of the corrective action plan, the Lecithin Association of India will carry out “enzyme-linked immunoassay (“ELISA”) tests for all incoming [to India] and outgoing [from India] materials to ensure there is no contamination of Soya Lecithin.” They have requested that UK businesses carry out similar tests upon delivery of the products.

In view of the widespread contamination of soya lecithin at different levels over some time, the FSA is advising that food businesses purchasing soyabean lecithin originating from India sample and test the product upon its arrival in the UK before it is further processed or sold on.

The results of this testing should be passed down through the supply chain to enable food businesses to assess the risks to the products they produce which use soyabean lecithin from India.

Food businesses should continue to complete traceability exercises to identify products (or ingredients used in products) containing soyabean lecithin from India.

If food businesses are satisfied that they have not been supplied with soyabean lecithin that has been contaminated with peanut protein, either in its raw state or as an ingredient in food items they have purchased (including those for further processing or finished products), they need take no further action and should continue as normal.

Where products are identified, the test results for peanut protein levels in the unprocessed soyabean lecithin should be provided by the supplier. If this is not the case, the food business should request this information from the supplier. Food businesses that have received soyabean lecithin direct from India should sample and test the product as stated above.

If food businesses determine that they have been supplied with soyabean lecithin that has been contaminated with peanut protein, product-specific risk assessments should be carried out to determine whether their products are safe to be placed on the market.

Food businesses should consider whether their existing labelling manages the risk to consumers arising from the use of the contaminated soyabean lecithin. They may choose to add voluntary precautionary allergen labelling (PAL) statements to their products if, following a product-specific risk assessment, they conclude that the risk to consumers with a peanut allergy cannot be adequately managed without such additional labelling. (To note, food businesses should continue to correctly label their food products with mandatory allergen information, such as where peanut is present in a food product as an intentional ingredient, with allergen information being included in the ingredient list and emphasised within the list.)

Food businesses selling non-prepacked foods should carry out the same process of traceability and risk assessments to establish any risk to consumers from this issue. While non-prepacked foods do not require labelling, allergen information should be provided to the consumer (in writing or orally). If there is a need to communicate the presence of peanut protein in non-prepacked food, based on product-specific risk assessments, individual food businesses should consider the most effective way to do this for their business model.

Food businesses are responsible for establishing whether any of their food products are affected and, where this is the case, taking steps to ensure consumers are protected and the food they place on the market is safe.

Food business operators are required to inform their local authority where they identify any food which is either harmful to health, unfit for people to eat or does not meet legal requirements.

 

 

Articles over 1 year old See Technical News Archive
Member Benefits

Exclusive Partnership deals on key products and services:

  • BFFF energy deals and rates
  • Vypr member deals and introduction
  • Defib Plus deals
  • Company Shop – membership
  • Mentor – MHE training health check

Exclusive access to networking opportunities and events:

  • Meet the Buyer events (retail & foodservice)
  • Annual Business Conference with networking dinner
  • Specialist H&S and Technical Conferences
  • Special interest groups (packaging, frozen food temperatures)
  • Annual Lunch
  • Awards Night
Upcoming Events More Events
Sponsorship Packages

We offer a range of sponsorship opportunities to BFFF members across our events throughout the year, with flexible packages that can be tailored to suit your business objectives.

Contact Us
British Frozen Food Federation Members Logo
what our members say...
  • Wakefield Council

    “What an amazing piece of work and indicative of how BFFF respond to the concerns of their members and make an impact on the whole industry sector.”

    See Full Quote

  • Sysco

    “You guys really ‘Do The Right Thing’ for the good of the industry”

    See Full Quote

  • Darta

    “The BFFF awards night is becoming an “appointment not to miss” on our calendar and we again enjoyed it immensely together with lots of well-known people from our industry. The…

    See Full Quote

  • Kantar Worldpanel

    “The Business Conference was an excellent day that was very well organised and allowed so many likeminded individuals in the room to learn so much more around the Frozen industry….

    See Full Quote

  • Lakeside Food Group Ltd

    “This Not For EU labelling situation alarmed us and quickly became a major worry to our business. These are times when you really rely on some support and from previous…

    See Full Quote

  • Meadow Vale Foods Limited

    “We had a few questions with respect to the new EPR waste packaging legislative changes. I know some of my colleagues have been assisted by BFFF in the past so…

    See Full Quote

  • Newberry International Produce Ltd

    “I am writing to express my heartfelt gratitude for the outstanding event you organised. I have only worked in this sector for the past nineteen months coming from twenty-five years…

    See Full Quote

  • Place UK Ltd

    “The BFFF 2024 Conference was compelling and thought provoking, with a many relevant and interesting topics covered at great pace and some depth by excellent speakers – will certainly attend…

    See Full Quote

  • Roswel Spedition GMBH

    “Thank you and the team for rushing around so brilliantly before, during and after the conference. It was pleasure to be part of the conference.”

    See Full Quote

  • Seara

    “The event was great, in my opinion. Not only it was very well organised, but the venue and the catering were excellent too. Furthermore, the content of the presentations was…

    See Full Quote

Website Designed & Built by we are CODA