New FSIS guidelines on environmental labeling claims: Key points
19 September 2024, by Jesse Medlong, Erin Huntington
19 September 2024, by Jesse Medlong, Erin Huntington
The US Department of Agriculture (USDA)’s Food Safety and Inspection Service (FSIS) has released updated guidelines regarding the substantiation of animal-raising and environment-related claims on meat and poultry product labels.
The guidelines, effective as of August 2024, are intended to enhance transparency and prevent greenwashing, the practice of using marketing claims to mislead the public about a company’s environmental performance.
As efforts to make the meat and poultry industries more environmentally sustainable gain traction, companies can use evolving guidelines to vet marketing claims and help avoid greenwashing risks.
Key points from FSIS guidelines on animal-raising labeling claims
Purpose and scope
The guidelines make clear that FSIS expects companies to substantiate animal welfare, animal pedigree, and environmental claims for meat and poultry product labels with supporting documentation or third-party certification.
Types of claims covered
The USDA’s greenwashing mitigation
Companies increasingly use environmental marketing claims to publicize their sustainability practices and appeal to more eco-conscious customers.
Environmentalists have long criticized the approval of labels like “climate-friendly beef,” arguing that such claims may mislead consumers about the significant greenhouse gas emissions associated with cattle.
Common meat and poultry claims flagged by activists include “sustainably raised” and “regenerative grazing,” which suggests benefits to soil health.
The main risk may not be regulators, however, but private plaintiffs. Environmental marketing claims may be difficult to quantify and substantiate, but FSIS does not review point-of-purchase materials.
Companies may not understand they have run afoul of applicable regulations until they find themselves sued by a consumer for false advertising or unfair trade practices.
In the guidelines, FSIS “strongly encourages” companies to obtain third-party certification and amass environmental data or studies (including soil and land variation or air quality studies and results) in support of such claims on their label.
Implications for organizations
Prudent organizations will be prepared to adjust their advertising practices based on these new guidelines if there are gaps. Key considerations include:
By adhering to these guidelines, organizations can build consumer trust and avoid potential legal and reputational risks associated with misleading labeling practices.
For more on sustainability marketing claims on food labeling, please contact the authors.
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