Guest guest Posted November 10, 2005 Report Share Posted November 10, 2005 Here's the link to a PDF of a U.S. GAO letter about testing feed to protect agains Mad Cow disease. http://www.gao.gov/new.items/d06157r.pdf GAO documents tend to be long-winded and very polite to criminals. Nevertheless, what they are basically saying is that FDA laboratories drag their feet and slow down testing so long, that by the time many tests are completed, the feed has already been fed to other cows. In other words, the government's program is not really providing effective protection. A nice piece of literature for anyone's meat-eating uncle or neighbor. Below is an excerpt. your servant, Hare Krsna dasi Conclusions FDA’s June 2005 directive and the July 2005 revised assignment include important new controls that address many of the weaknesses we found in the feed testing program. However, the new directive and guidance will be useful only when FDA ensures their full implementation. One important requirement in the directive and guidance—for districts to document their follow-up activities and compliance decisions—will allow FDA to use the program results to supplement the agency’s other BSE oversight activities. FDA’s districts and laboratories believe they have implemented the feed testing program diligently and thoroughly, using their best professional judgment. That notwithstanding, until the districts’ actions are documented in a fashion that fully explains the basis for their compliance determinations, FDA cannot verify and hence cannot confidently rely on the testing program results. Another important requirement in the new directive is the addition of a 30-day time limit for districts to complete their follow-up actions and make final compliance determinations for feed samples that identify potential violations of the feed-ban rule. ** That new guidance notwithstanding, we remain concerned about the overall time frame. We found that more than 30 days elapsed between the date samples were collected and the date laboratories completed their analysis for nearly half the samples, and that these two steps took more than 100 days in some instances.** Only then would districts have begun their follow-up activities. However, both FDA and industry agree that cattle feed is consumed very quickly. **Consequently, by the time FDA completes its follow up activities and determines that a violation has occurred, the feed may have been consumed.** We believe that both the districts and the laboratories need to carry out their feed testing program responsibilities promptly to minimize cattle’s exposure to potentially contaminated feed. While FDA’s new assignment instructions recognize the importance of management accountability, they do not include specific oversight requirements that will address the 15 GAO-06-157R FDA Feed Testing Program deficiencies we identified. Even though the feed testing program is small, adequate management oversight of the program is critical, because the resources FDA spent on the program since August 2003 came directly from the agency’s limited BSE oversight funding. If they exercise appropriate oversight, FDA headquarters managers can help ensure that future results of the feed testing program will be reliable, and that BSE resources will be carefully spent. In this regard, we believe that periodic reports using FACTS data would be useful. Other internal controls may also provide useful management oversight, and FDA would benefit if it developed performance indicators and set goals for its managers to use to determine whether and to what extent the feed testing program is contributing to the agency’s BSE oversight efforts. Finally, feed testing has the potential to be an important tool in FDA’s feed-ban oversight arsenal as technology improves, and we believe FDA would benefit by encouraging the development, testing, and implementation of new feed testing technologies. PCR is a better tool than feed microscopy, and the capabilities of PCR are being refined and improved. As more accurate and effective PCR and other feed testing technologies emerge, the value of feed testing to FDA’s BSE oversight will increase. Quote Link to comment Share on other sites More sharing options...
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