Recalls and Alerts: November 11 – 14, 2018

Here is today’s list of food safety recalls, product withdrawals, allergy alerts and miscellaneous compliance issues. The live links will take you directly to the official recall notices and company news releases that contain detailed information for each recall and alert.

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United States

Food Safety Recall: The Pictsweet Company recalls Pictsweet Farms brand Steam’ables Asparagus Spears (8 oz; Production codes beginning with 2138XD; BEST BY AUG 1, 2020; Product of USA; UPC 0 70560 97799 9) due to potential Listeria monocytogenes contamination.

Food Safety Recall: ALEBRIJE DIST WHOLESALE recalls Quesillo “Queseria La Milagrosa” and “Alebrije Cheese” (½ kg and 1kg) due to possible Salmonella contamination.

Food Safety Recall: Ron’s Home Style Foods recalls approximately 6,912 pounds of ready-to-eat (RTE) chicken salad products due to possible Listeria monocytogenes contamination. Please refer to the recall notice for a complete list of affected products, which were shipped to institutional and retail locations in Texas.

Canada

Allergy Alert: Buffets insère-jeunes recalls various baked goods due to undeclared milk, eggs, soy and sulfites. Please refer to the recall notice for a complete list of affected products.

Allergy Alert: Metro Alimentation Martin Duplessis Inc. recalls two pudding products due to undeclared wheat, gluten, sesame seeds, nuts and soy. Please refer to the recall notice for a complete list of affected products.

Food Safety Recall: Philippe Antoine traiteur inc. recalls Meat sauce (1L; All lots sold up to and including November 8, 2018) because the product may not be safe for consumption.

Food Safety Recall: Sobeys Inc. recalls various Safeway brand Ground Beef products due to foreign matter (metal pieces) contamination. Please refer to the recall notice for a complete list of affected products, which were supplied to retail stores in British Columbia.

Europe

Allergy Alert (Belgium): Teker bvba recalls Teker Chicken Stek (800g; sold since 10/2017; various lot numbers and best before dates) due to undeclared gluten.

Allergy Alert (Belgium): Carrefour Belgique recalls Carrefour BIO velouté tomates basilic (300 mL; Lot #BIOTOM AH1029.3; Best before 03/01/2019) due to undeclared gluten.

Allergy Alert (Denmark): Lidl Danmark recalls Dulano Roasted Chicken Breast Filet, various flavors (80g; All Best before dates) due to undeclared mustard and celery.

Allergy Alert (Ireland): Walkers recalls Walkers Sensations Thai Sweet Chilli Flavour Crisps (40g; All Best before dates up to and including 29/01/2019) due to undeclared wheat (gluten).

Allergy Alert (UK): Walkers recalls Sensations Thai Sweet Chilli Flavour Potato Crisps (40g; and 73g Price Marked Pack (‘Only £1 RRP’); All best before dates up to and including 29 January 2019) due to undeclared wheat gluten.

Allergy Alert (UK-England specific): Gardiners of Scotland Ltd recalls Gardiners Scottish Macaroon Bars (85g; various batch codes and Best Before dates) due to undeclared soy. Please refer to the recall notice for a complete list of affected batches.

Food Safety Recall (Belgium – Update): Cora recalls Mini blinis cocktail x16 (135g; Lot #183451; Best before 19/11/2018) due to Listeria monocytogenes contamination.

Food Safety Recall (Belgium): Importer recalls  Leader Price Mini blinis (135g; Lot #183451; Best before 19/11/2018) and Franprix Mini blinis (135g; Lot #183451; Best before 19/11/2018) due to Listeria monocytogenes contamination.

Food Safety Recall (Belgium): FROM-UN recalls Jacquin brand Pouligny Saint Pierre au lait cru (250g; Lot #J82920094; Best before 08/12/18) due to Escherichia coli AEEC O26 contamination.

Food Safety Recall (Denmark): Graasten Salater recalls Mayo Horseradish Salad (150g; Best before 14.12.2018) due to foreign matter (plastic pieces) contamination.

Food Safety Recall (Denmark): Bon Appetit Group A/S recalls Hot-smoked salmon salad with pearl barley (302g; Best before 13.11.2018 – 18.11.2018) and Pasta penne smoked salmon & rucola pesto (390g; Best before 13.11.2018 – 15.11.2018) due to Listeria contamination.

Food Safety Recall (France): Leader Price recalls Leader Price brand 16 Mini blinis (135g; Lot #183521; Best before 26/11/2018) due to Listeria contamination.

Food Safety Recall (France): Eurial recalls Monoprix brand Pouligny St Pierre au lait cru de chèvre AOP (150g; Lot #Y 18 278 C; Best before 9 December 2018) due to E. coli O26 contamination.

Food Safety Recall (France): Carrefour recalls CARREFOUR – SAPRESTI TAITEUR brand Coquille froide aux crevettes (Lot #18-311; Best before 19/11/2018) due to Listeria contamination.

Food Safety Recall (France): La Société EURIAL recalls Bourdin brand Petit Pouligny Saint Pierre au lait cru (150g; Lot #Y18278C; Best before 09/12/18) due to E. coli O26 contamination.

Food Safety Recall (France): La Société EURIAL recalls Auchan Mmm ! brand Petit Pouligny Saint Pierre au lait cru (150g; Lot #Y18278C; Best before 09/12/18) due to E. coli O26 contamination.

Asia, Africa and the Pacific Islands

OUTBREAK ALERT (SINGAPORE): The Ministry of Health (MOH), National Environment Agency (NEA) and Agri-Food & Veterinary Authority of Singapore (AVA) are investigating several cases of gastroenteritis traced to the consumption of food prepared at Spize Restaurant, located at 409 River Valley Road. As of 9 November 2018, a total of 49 cases were verified to be affected, and 21 cases have been hospitalised.

Food Safety Recall (Israel): Almadain Food Products (Madco) Ltd. recalls Jerusalem Deli Pastrami (200g & 400g packages; Expiration date 07/01/2019) due to Listeria monocytogenes contamination.

Australia and New Zealand

Allergy Alert (New Zealand): Serious Foods Co Ltd recalls Serious Popcorn brand Coconut and Vanilla (80g; Batch #ASM 307; Best before 04 December 2018) and Serious Popcorn brand Popping Corn (300g; Batch #ASM 257; Best before 31 May 2019) due to undeclared gluten.

Reality of our world: Money trumps altruism in the quest for safer poultry

This is part two of a two-part opinion piece by Carl Custer. It first appeared in Food Safety News and is reposted here with permission.

In the previous article, I wrote about the decades-old public health problem of poultry-borne salmonellosis. This article will propose declaring the virulent strains that are pathogenic to humans as adulterants and the benefits of doing so.

Regulatory policies for other foodborne pathogens recognize consumer’s inability to handle them. The Code of Federal regulations, 9 CFR 311.2-39 describes a number of conditions for declaring meat carcasses adulterated, including: tuberculosis, arthritis, and odors. The poultry regulations 9 CFR, 381.80 et seq are similar. The Meat Inspection Regulations, 9 CFR 315.2 permit some meat products that are found adulterated under 311 to be passed for cooking – under the oversight of federal inspections, not in consumers’ kitchens. In 1995, the top administrator of the USDA’s Food Safety and Inspection Service (FSIS), Craig Reed, use that principle in his letter permitting lots of ground beef containing Escherichia coli O157:H7 to be cooked in a federal establishment – not in consumers’ kitchens.

Treatment of raw meat and poultry by cooking, irradiation, or high pressure processing would eliminate consumer exposure to those pathogens. However, one of the primary sources of foodborne pathogens now is contaminated produce. A growing body of scientific literature indicates a major source of these pathogens is food animal production via air 2, water 1, and manure 4. (These are only three recent papers of many). The 2018 meeting of the International Association for Food Protection (IAFP) in Salt Lake City had more than 20 sessions addressing preharvest contamination of soil, water and produce. There is also a large body of scientific literature on preharvest interventions in animals including isolation, competitive exclusion, probiotics, prebiotics, and vaccination. 

Interventions cost and thus, producers need incentives. Incentives include altruism, regulations, customer specifications, and litigation. A 2018 IAFP Round Table “RT9: Do Lawsuits Play a Productive Role in Advancing Food Safety?” suggested that customer specifications and regulations produced faster results; lawsuits were too far in the future. The COSTO and Walmart speakers said customer specifications are effective. Regulation has had some effect on E. coli O157:H7 in beef, but certainly not eliminated it in either commerce or preharvest.6 One can only speculate what the results would be if FSIS had not declared it an adulterant in 1994. We know more each year what the effect is of not declaring outbreak strains of Salmonella as adulterants.

The FSIS has the legal means to prevent these adulterants from entering commerce. The Meat and Poultry Inspection Acts 8-9 empower FSIS inspectors to conduct ante mortem and post mortem inspection of all animals before processing them into food. Traditionally, that has been visual inspection but not always. FSIS’s 2013 “Compliance Guide For Residue Prevention” uses laboratory results to compile a list, “The Residue Repeat Violator List.” It is composed of suppliers who have had more than one residue violation in the preceding 12 months. Thus, animals from a producer on that list present a “hazard reasonably likely to occur.” The HACCP (Hazard Analysis and Critical Control Point) rules require establishments to have controls to prevent any product with violative residues from entering commerce. Failure to do so is a violation of 9 CFR 417.6. FSIS can sample carcasses or live animals and the laboratory will report any violation to Field Operations for action. 

The principle used for residues could be applied to outbreak strains of certain bacterial pathogens also. These strains are adulterants as defined by both the Inspection Acts and the Code of Federal Regulations. FSIS routinely samples carcasses and products for pathogenic bacteria. When an outbreak strain is detected and traced back to an establishment, the establishment can identify the producer and that producer would be put on a “Adulterant Carrier List.” Future animals from that producer and their products must either be treated to inactivate any adulterants or tested (ICMSF Case 15) until the producer has implemented validated controls and verified their effectiveness to prevent future contamination. If the establishment cannot identify the producer, then all product from that establishment would be treated or tested under ICMSF Case 15 to prevent any adulterants from entering commerce.

This would be a harsh rule and FSIS would likely be sued by the industry. The outcome should be similar to Texas Food Industry Ass’n v. Espy7 where E. coli O157:H7 was found to be an adulterant in ground beef because consumers would eat the product rare. So why not Salmonella? The difference would be that FSIS could use the half century of scientific findings that cross contamination within consumer’s kitchens is a major source of foodborne illnesses, not just undercooking. Thus poultry and other meat products would be included.

The outcome of FSIS promulgating such a regulatory policy would be that preharvest control of pathogenic bacteria in food animal production would begin to be addressed. This action would begin to reduce the environmental contamination that reaches produce fields via waterways and even highways5.

Assays for pathogens have advanced rapidly in the past decade3. Methods are more rapid, sensitive, and specific. The FSIS, processors, and producers can use these methods to rapidly verify that interventions are working and adulterants are not being found in products.

It would be wonderful if altruism was the incentive for preventing adulterants from entering commerce. Alas, we do not live in that world. But let us take USC 602 to heart and apply it to preharvest control.

 References

1. Alegbeleye OO, Singleton I, Sant’Ana AS. 2018. Sources and contamination routes of microbial pathogens to fresh produce during field cultivation: A review. Food Microbiology. 73: 177-208. https://doi.org/10.1016/j.fm.2018.01.003

2. Berry ED, Wells JE, Bono JL, Woodbury BL, Kalchayanand N, Norman KN, Suslow TV, López-Velasco G, Millner PD. 2015. Effect of proximity to a cattle feedlot on Escherichia coli O157:H7 contamination of leafy greens and evaluation of the potential for airborne transmission. Appl Environ Microbiol 81:1101–1110. doi:10.1128/AEM.02998-14.

3. Besser, John M. 2018. Salmonella epidemiology: A whirlwind of change. Food Microbiology 71:55-59.

4. Heredia, Norma, Santos, García. 2018. Animals as sources of food-borne pathogens: A review. Animal Nutrition. In Press  https://doi.org/10.1016/j.aninu.2018.04.006

5. Seedorf J, Schmidt RG.. 2017.  The simulated air flow pattern around a moving animal transport vehicle as the basis for a prospective biosecurity risk assessment. Heliyon 3:00358

6. Swaggerty, Christina L., Ester Grilli, Andrea Piva, Nicolae Corcionivoschi, Steven C. Ricke, Todd R. Callaway. 2018. The First 30 Years of Shiga Toxin–Producing Escherichia coli in Cattle Production: Preharvest Intervention Strategies.  Food and Feed Safety Systems and Analysis- Chapter 8. Pages 133–151 https://doi.org/10.1016/B978-0-12-811835-1.00008-7

7. Texas Food Industry Ass’n v. Espy, 870 F. Supp. 143 (W.D. Tex. 1994) US District Court for the Western District of Texas – 870 F. Supp. 143 (W.D. Tex. 1994) December 13, 1994

8. 21 U.S. Code § 455. Inspection in official establishments (Poultry Inspection)

9. 21 U.S. Code § 603 – Examination of animals prior to slaughter; use of humane methods (Meat Inspection)

Consumer fault is a red herring; Salmonella should be an adulterant in poultry

This is part one of a two-part opinion piece by Carl Custer. It first appeared in Food Safety News and is reposted here with permission.

In recent days the CDC and FSIS updated information on a continuing salmonellosis outbreak connected to raw and live turkeys. Since the July 19 announcement of the outbreak, 74 more people from 26 more states have been reported.

That brings the totals, as of Nov. 5, to 164 infected people from 35 states. Sixty-three have been hospitalized and one person has died. Of 135 people with information available, 63 of them, or 47 percent, have been hospitalized. That is a high rate; this is a virulent strain highly pathogenic to humans. 

This outbreak is similar to the 2013-2014 outbreak from Salmonella Heidelberg. CDC reported 634 persons were infected with seven outbreak strains in 29 states and Puerto Rico; 38% of ill persons were hospitalized, and no deaths.

Salmonellosis from virulent strains borne by poultry is a decades old continuing problem. According to the definitions in the meat and poultry inspection acts,1.2. these Salmonella strains pathogenic to humans are adulterants. The cases and outbreaks prove they are ordinarily injurious to public health. FSIS has been reluctant to name them as adulterants, sometimes citing APHA vs Butz.3 However, that court decision was based in part on a letter written by USDA in August 1971. That letter wrongly averred that consumers were knowledgeable and competent. It had no scientific validity and was contrary to a 1970 USDA committee’s finding on a 1969 NAS report “An Evaluation of the Salmonella Problem.”11 and a USDA report evaluating that NAS report.10

Depending on consumers to safely handle raw meat and poultry contaminated with virulent pathogens has failed time and again. The CDC report continues with “Advice to Consumers and Retailers.” This is helpful to CDC, FSIS, and the poultry industry. Decades of educational programs by federal, state and private entities show little progress. A half century of scientific opinion and research demonstrate that most consumers are inept. Here are a few examples:

In 1963 Kampelmacher 4 wrote, “The real problem under discussion is: are poultry products a potential danger to public health, and if so, what objective criteria can be applied in the assessment of this danger? … However, the public is usually badly informed on the possible danger of poultry and poultry products to public health. Educating the public on these matters is a  difficult task. ” “In contrast to red meat, raw poultry is not consumed or prepared in any country. The danger lies in the processing, starting with the producers of poultry products and ending with the consumer.” 

Decades later, Kosa concluded “Based on the survey findings, we conclude that education is needed to improve consumer handling practices for raw poultry to decrease illness attributed to Salmonella and Campylobacter in raw poultry products.”9 

This summer, at the 2018 International Association for Food Protection meeting, Quinlan presented: “Mishandling of Poultry Products by Consumers: Identification of Gaps in Knowledge and Safe-handling Practices of Raw Turkey.” 8 The talk focused on a survey of consumers cooking turkey. Contrary to recommendations, a significant number washed turkeys, cooked with stuffing inside the bird, and held the cooked turkey at room temperature for more than two hours before serving. 

These three examples underline the need for better consumer education and training. There are many other scientific papers on consumer mishandling and – even after more than three decades of USDA’s Hot Line and others’ initiatives. These scientific results give lie to the frequent chant “just cook it” often on the internet. 

The attention given to cooking ignores the greater threat of cross contamination in kitchens. Echoing Kampelmacher, in 2009, Luber, citing 58 papers, wrote, “In conclusion, cross-contamination events from activities such as use of the same cutting board for chicken meat and salad without intermediate cleaning or spreading of pathogens via the kitchen environment seem to be of greater importance than the risk associated with undercooking of poultry meat or eggs.” Her paper currently has 108 citations, eight in 2018 so far. 

Virulent strains of Salmonella pathogenic to humans is an old problem. One solution would be to declare them adulterants and thus provide a regulatory incentive for control.

References

1.21 U.S.C. 453 – Definitions: (g) The term “adulterated” shall apply to any poultry product under one or more of the following circumstances:

(1) if it bears or contains any poisonous or deleterious substance which may render it injurious to health; but in case the substance is not an added substance, such article shall not be considered adulterated under this clause if the quantity of such substance in or on such article does not ordinarily render it injurious to health;

2. 21 USC § 601 – Definitions (m) The term “adulterated” shall apply to any carcass, part thereof, meat or meat food product under one or more of the following circumstances:

(1) if it bears or contains any poisonous or deleterious substance which may render it injurious to health; but in case the substance is not an added substance, such article shall not be considered adulterated under this clause if the quantity of such substance in or on such article does not ordinarily render it injurious to health; 

3. American Public Health Association et al., Appellants, v. Earl Butz, Secretary of Department of Agriculture, et al.. United States Court of Appeals, District of Columbia Circuit. – 511 F.2d 331. Argued Jan. 22, 1974.Decided Dec. 19, 1974.Rehearing En Banc Denied April 9, 1975

4. Kampelmacher, E. H. (1963). Public health and poultry products.  British Veterinary Journal 119, 110.

5. 9 CFR 311 Disposal of Diseased or Otherwise Adulterated Carcasses and Parts. 

6. 9 CFR 315.2  Carcasses and parts passed for cooking; utilization for food purposes after cooking.

7. Luber, Petra. 2009. Cross-contamination versus undercooking of poultry meat or eggs — which risks need to be managed first?.  International Journal of Food Microbiology 134 (2009) 21–28. 

8. Quinlan, Jennifer J. 2018. Mishandling of Poultry Products by Consumers: Identification of Gaps in Knowledge and Safe-handling Practices of Raw Turkey. T6-07 Tuesday, July 10, 2018 10:30 AM – 10:45 AM. International Association for Food Protection. Salt Palace Convention Center – Room 151 D-G

9. Kosa, Katherine M.; Cates, Sheryl C.; Bradley, Samantha; Chambers IV, Edgar; Godwin, Sandria. 2015. Consumer-Reported Handling of Raw Poultry Products at Home: Results from a National Survey. J. Food Prot. 78:180-186. 

10. Microbiological Subgroup of the USDA Food Safety Committee.  1970.  Food Protections by the Department of Agriculture.  A Review of the NAS-NRC Report. “An Evaluation of the Salmonella Problem”

11. National Academy of Sciences/National Research Council/Committee on Salmonella. 1969. An Evaluation of the Salmonella Problem. Prepared by the Salmonella Committee of the National Research Council, Washington, DC.: National Academy of Sciences, Publication No. 1683.