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Washington,
DC—The Agricultural Marketing Service (AMS), U.S.
Department of Agriculture (USDA), is seeking comments on a proposed
voluntary standard for a “naturally raised” marketing claim for
meats. According to its Notice and Request for Comments for Docket
AMS–LS–07–0131; LS–07–16, “the livestock and meat supply chain,
along with consumers could benefit from a uniform standard for the
marketing of this type of product.”
The definition for "naturally raised"
proposed by USDA is:
Livestock used for the production
of meat and meat products have been raised entirely without growth
promotants, antibiotics, and have never been fed mammalian or
avian by-products. This information shall be contained on any
label claim that an animal has been naturally raised.
Cathy Liss, President of the Animal
Welfare Institute, asks consumers to urge the USDA to include animal
welfare criteria in the standards. “We are seeking a better result.
The definition as proposed contains no stipulations concerning the
animals’ own welfare or how the animals live, but applies narrow
criteria related only to feed or other substances administered to
animals. While farmers who raise animals under high welfare
conditions should be covered by this term, the industrial producers
will seek a weak definition so they can profit by selling the
products of cruelly raised animals labeled as ‘naturally raised.’”
According to the USDA, prohibiting
use of antibiotics, growth promotants, and certain animal
by-products are the main attributes consumers want for
“naturally-raised” meat and meat products. However, many ranchers,
farmers, and others testified in public meetings in 2006 and 2007
that the ability of animals to range freely, eat diets natural to
their species, and engage in natural behaviors are essential aspects
of a “naturally raised” claim.
Also, in July 2007, the independent
Consumer Reports revealed that 83% of consumers polled regarding
meat labels said a “natural” label should mean “it came from an
animal raised in a natural environment.”
See page 15 of Consumer Reports Survey.
The Animal Welfare Institute asks
consumers to urge the USDA to write a definition for “naturally
raised” that:
- requires farm animals, including
poultry, to be raised in a manner that is consistent with the
biology and natural behavior of the species;
- disqualifies farms that use
gestation crates, farrowing crates, battery cages, calf crates,
slatted floors and liquefied manure, and other equipment or
facilities typical of unnatural factory systems; and
- requires that animals have free
access to continuous range on fresh pasture or woodlands, or, in
inclement weather, be able to move freely in comfortable housing
and clean bedding until outdoor conditions improve.
Additional points that could be
added include:
- While it is appropriate to
disallow routine administration of antibiotics to all animals via
feed or water, individual animals that are sick should be able to
receive therapeutic antibiotic treatment if needed. To deny them
necessary veterinary care is inhumane.
- All animals should be provided
with free and continuous access to nutritionally complete food and
clean water consistent with the animals’ natural diets (e.g.,
grass and hay for cattle
- Crowding of animals should be
prohibited.
- Tail docking of pigs, beak
trimming of chickens and turkeys and other mutilations
necessitated by unnatural environments should be prohibited.
- The use of hormones or other
agents, including beta-agonists and ractopamine, to promote growth
and increase production should be prohibited.
- Early weaning, before the immune
systems of the young are fully developed, should be prohibited.
- Genetic selection for high
growth rates and high rates of reproduction that reduce the
animals’ ability to reproduce naturally and thrive in environments
natural to its species should be prohibited. Examples include
selection that makes natural birth difficult without human
intervention (double muscled cattle) or makes normal reproduction
impossible (conventionally bred turkeys).
The Animal Welfare Institute
believes that a solid definition of “naturally raised” must be
adopted by USDA to serve consumers, farmers and particularly the
farm animals by differentiating the practices of farmers who address
the physical and behavioral needs of their animals from the factory
farms that don’t.
To contact the Animal Welfare
Institute call (703) 836-4300 or email
lauren@awionline.org.
All comments,
due by March 3, 2008, should reference docket number LS-07-16.
Comments can be submitted via:
- The AMS web site at
http://www.regulations.gov/ (insert “naturally raised” in the
search box provided on the site) or click on Comment Form to go
directly to the online form:
http://www.regulations.gov/fdmspublic/component/main?main=SubmitComment&o=0900006480369411.
- Regular Mail:
Naturally Raised Marketing Claim
Room 2607–S, AMS, USDA,
1400 Independence Avenue, SW
Washington, DC 20250–0254
- By Fax (202) 720–1112.
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