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FSS CONSULT ON PROVISION OF ALLERGEN INFORMATION FOR NON-PREPACKED FOOD

Food Standards Scotland (FSS) have recently launched a consultation concerning how food information is provided to consumers by businesses in the non-prepacked food sector, specifically allergen and ingredient information.

Currently, food businesses in Scotland, and across the UK in the wider context, must inform consumers if they have used any of the 14 mandated allergens as an ingredient in their food.

When food is presented non-prepacked such as food sold in restaurants, made to order sandwiches, food sold loose from bakers and butchers, food businesses can choose how they provide allergen information. This can be done in several ways such as on a label attached to the food or on a notice, menu or ticket that is clearly visible to the consumer or verbally at the place where the consumer chooses the food. If opting to provide such information verbally, food businesses must indicate clearly to the consumer where the allergen information can be found. e.g. a sign stating ‘Please speak to a member of staff.’

On the 11th of December 2024, the FSS Board met to consider a paper which presented general options on how FSS could seek to improve the provision of allergen information in the non-prepacked sector.

The paper asked the Board whether they wished to take a guidance/best practice approach or adopt the same position as the FSA (who had previously expressed a view that it would be in the interests of consumers to take a mandatory approach on a four-country basis) and seek a change in legislation to require businesses to provide consumers with written allergen information for non-prepacked food.

The FSS Board were concerned that mandating the fourteen allergens listed in the Food Information to Consumers (FIC) Regulation alone would not provide all food-allergic or food-intolerant consumers with the same level of protection. However, due to a lack of evidence on the numbers of consumers with an allergy outside of the fourteen specified they were unable to assess the benefits and risks appropriately.

Recognising this is a subject which provokes strong opinions from those affected by food allergies and intolerances, as well as from food businesses and other stakeholders, the Board therefore agreed that a guidance/best practice approach was the preferred route at this time. However, the potential to pursue a legislative route has not been ruled out in the future, depending on how widely and effectively the changes are implemented.

This consultation will last for 12 weeks and can be accessed here.

All responses to the consultation must be submitted by 17th May 2026.

EC IMPLEMENTS REGULATION AMENDING AUTHORISED SUBSTANCES IN PLASTIC AND FCMS

The European Commission (EC) have now implemented Commission Regulation (EU) 2026/245, which amends Annex I of Regulation (EU) No 10/2011. This amendment updates the list of authorised substances that may be intentionally used in the manufacture of plastic materials and articles intended to come into contact with food.

One of the most important changes is the emphasis on composition limits in addition to migration limits.

Several of the newly listed substances are subject not only to specific maximum migration limits but also to maximum content restrictions in the polymer itself. This means that compliance can no longer be demonstrated through finished product testing alone and businesses will have to know exact formulations. A laboratory report showing acceptable migration will not be enough if composition limits are exceeded at the formulation stage.

The regulation can be accessed here

DEFRA ANNOUNCE PLANS TO PROTECT PUBLIC HEALTH AND ENVIRONMENT FROM PFAS

The Department for Environment Food & Rural Affairs (Defra) recently announced a new framework to better protect the nation and the environment from harmful PFAS, commonly known as ‘forever chemicals’.

Historically PFAS have played an important role in supporting economic growth by being an essential component in critical manufacturing industries, while also helping the nation to meet climate change targets due to their inclusion in low-carbon technologies.  However, there is growing evidence that their widespread use has generated risks to both people and the environment, which will likely remain for hundreds of years.

This is the first-ever PFAS (per- and poly-fluoroalkyl substances) plan and sets out the co-ordinated action that will be undertaken by governments, businesses and regulators to understand where these chemicals are coming from, how they spread and how to reduce public and environmental exposure. It will include:

  • Developing new guidance for regulators and industries to address legacy PFAS pollution on contaminated land to ensure a consistent and practical approach.
  • Consulting (later in 2026) on the introduction of a statutory limit for PFAS in England’s public supply regulations to improve the condition of the water the nation drinks.
  • Carrying out tests on food packaging, like microwave popcorn bags and pizza boxes, to trace the presence of PFAS and support future regulatory action.
  • Publishing a new website to raise the public’s awareness and understanding of PFAS while also improving transparency of action being taken across government.
  • Reducing emissions from industrial sites through new guidance for regulators and site operators on how to improve their handling, monitoring and disposal of PFAS.
  • Improving the monitoring of PFAS in soils by supporting the British Geological Survey and initiating new sampling at five locations across England.
  • Completing work to consider restrictions on the use of PFAS in firefighting foams.

You can read the press release here

NEW MEMBER OF THE YOUNG LEADERS FORUM, LIAM LAUNDERS

Liam Launders is Head of Sales at WTA Group, a UK-based freight forwarder and supply chain management company specialising in the transportation of food and beverage products. WTA Group is a family owned business formed over 100 years ago based in Manchester with a strong heritage in supporting international trade. Liam has been with WTA for five years. He began his journey in the import operations department before moving into the key account management team, where he later stepped into an interim leadership role. Around a year ago, he was given the opportunity to lead the company’s sales function as Head of Sales. With more than ten years of experience in freight and logistics, Liam has worked across all major modes of transport and developed a broad understanding of international supply chains and the challenges businesses face when moving goods globally. Outside of work, Liam enjoys walking his Springer Spaniel, Maguire, in the hills of the Peak District, dining out, and discovering new craft beers.

BFFF URGENT CALL FOR DATA! – HERBS AND COMMODITY CODE CLASSIFICATION

We have recently been made aware that Lemon Grass, previously assigned a commodity code of 0710809580 as a ‘frozen vegetable’, should have been classified to code 1211908690 as ‘part of plants of a kind primarily used in perfumery’.

According to HMRC this is the case even if it is used for culinary purposes.

Products of heading 1211 also include such items as mint, basil and rosemary as well as many others meaning that a change in commodity code could have huge financial ramifications.

To assist the BFFF in challenging this decision we urgently require data from our members by latest 8th April 2026

Please could members provide deniserion@bfff.co.uk information on

  • What herbs falling under heading 1211 you use
  • Tonnage used for each herb per year and equivalent costs

Your support in this matter would be greatly appreciated.

SUSPENSIONS IMPOSED ON IMPORTS FROM GREECE DUE TO FOOT AND MOUTH

Due to an outbreak of FMD in Greece, the import of the following commodities is now suspended:

  • live (including non-domestic) ruminants and porcine animals, including wild game and their germplasm
  • fresh meat from ruminants and porcine animals (including chilled and frozen), including wild game
  • meat products from ruminant and porcine animals that have not been subject to specific treatment D1, D, C or B (including wild game)
  • milk, colostrum and their products unless subject to treatment as defined in Article 4 of Regulation 2010/605
  • certain animal by-products.
  • hay and straw
  • casings

Please see Imports, exports and EU trade of animals and animal products: topical issues – GOV.UK for more information.

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