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Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and Inspection Service

Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

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Page 1: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Regulatory Impact Assessment of the Proposed RTE Rule

Dr. Felix Spinelli

Economist

Regulations and Directives Development Staff

USDA - Food Safety and Inspection Service

Page 2: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Today’s Presentation• Brief over-view of Regulatory Impact Assessment

Framework

• Preliminary Estimate of Industry Costs

– Impact of Higher Performance Standards

– Impact of Mandatory Testing for L. spp.

• Cost Impact on Small Entities

• Preliminary Estimate of Social Benefits

• Comparison of Industry Costs and Possible Social

Benefits

Page 3: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

The Purpose of Regulatory Impact Assessments

• Estimate potential social benefits and costs of proposed actions.

• Identify and assess regulatory alternatives.

• Provide framework for public comment and further improvement.

Page 4: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

The “Nuts and Bolts”• Establish a Baseline.

• Forecast regulatory-induced changes in industry practices.

• Create a scenario which incorporates the impact of the above changes.

• Compare the regulatory-induced scenario to baseline.

Page 5: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Impact of Performance Standards

• Direct Costs– One-time, initial costs

• Validation costs• Equipment costs

– Recurring costs• Additional processing, i.e. longer

times/higher temperatures, other processes.

Page 6: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Estimates of Direct Costs • First-year, one-time costs

– 545 products need validation at $5000/each.

– No data on needed equipment, etc, so subsumed into recurring cost estimate.

• First-year and recurring costs– 75 firms producing 441 million

pounds/year incur an additional 1 cent/pound cost.

Page 7: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Indirect Impacts of Performance Standards

– Short and long-term rejection rates– Line speeds– Recalls– Product Quality– Product Shrinkage– No estimate on indirect impacts on

costs at this time.

Page 8: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Summary of Direct Cost Impact of Performance

Standards

• First-year, one-time costs…. $2.72 million

• Annually recurring costs …. + $4.41 million

• Total first year impact ……. $7.13 million

Page 9: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Impact of Mandatory Environmental Testing for

Listeria species• Direct Costs

– One-time, initial costs• Incorporation of Critical Control Point

addressing LM contamination into HACCP plan

OR

• First-year and recurring costs• Actual testing of product-contact surfaces for

Sanitation SOP verification

Page 10: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Direct Cost Calculations

HACCP Modification (Addition of CCP)– Large: 50 % 100 %– Small: 33 % 50 %– Very Small: 10 % 20 %

• 257 establishments* $5000/Plan = $1.29 million

*Size based on employment figures.

Page 11: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Direct Cost Calculations (cont’d)

Actual testing of product-contact surfaces for

Sanitation SOP verification

• Large: $10,080/establishment• Small: $ 3,360/establishment• Very Small: $ 840/establishment

825 establishments for a total of $1.75 million.

Page 12: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Impact of Testing (cont’d) - Indirect Impacts

• Similar Indirect Impacts as described for performance standards are possible.

• Rejection rates, Recalls, Product Quality

• May not affect line speeds, shrinkage, but: • Test and Hold Occurrences• Disposal of Product• Storage Capacity

• Needed Production Adjustments to remedy Listeria spp. contamination

Page 13: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Impact of Testing (cont’d) -Indirect Impacts

• Production Adjustments– Most establishments will not incur any additional

cost (find they do not have a serious LM problem)

– Other establishments likely will need to adjust production

• 7% incur “$2000 per line” cost• 7% incur “1/10 of 1% of gross sales” cost• 1% elect to drop RTE production

Page 14: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Total Direct and Indirect Costs of Testing (in million $)

• One-time cost, HACCP mod .….…. 1.29• One-time production adj. costs ….. + 2.49• Sub-total of one-time costs ………. 3.78

• Recurring testing costs …..…...…... +1.75

• Total first-year impact ...…….……. 5.53

Page 15: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Total Impact of Performance Standards and Testing Provisions

• One-time costs (million $)– Validate Performance Standards.. 2.72– Modify HACCP (Testing)……… + 1.29– Adjustment (Testing) …………... + 2.49

• Sub-total, one-time .....………..… 6.50

• Performance Std (42%) and Testing (58%)

Page 16: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Total Impact of Performance Standards and Testing Provisions

(cont’d)• Recurring costs (million $)

– Increased processing (Performance Std) ...... 4.41– Testing costs (Testing) ……...…………...… + 1.75– Sub-total ….…………………………… 6.16

• Performance Std (72%) and Testing (28%)

• Total Cost Impact, First-Year……….... 12.66– Performance Std (56%) and Testing (44%)

Page 17: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Summary of Cost Impacts

Costs (million $)Testing Perf.

Stds.Total

1st year – All 5.53 7.13 12.66Recurring 1.75 4.41 6.16

Over 10 yrs.Nominal 21.3 46.8 68.1Present value 15.8 33.5 49.3

Page 18: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Impact Across the RTE Industry

FSIS PlantClassification

% of allplants

% of totalimpact

Very Small 32 15

Small 59 54

Large 9 31

Page 19: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Estimate of Social Benefits

• All benefits derived from improved food safety spurred on by verification testing.

• Benefits from higher performance standards not quantified at this time.

• Increased testing decreased probability of contaminated product.

• Less contaminated product Fewer sicknesses and deaths.

Page 20: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Ready-to-eat Meat and Poultry Products and Listeriosis

• 2540 Listeriosis Cases and 508 Deaths from all sources in the US per year.

• Important Questions: – What is attributable to meat and poultry products?– What is attributable to establishments?– Impact of other measures?– Effectiveness of measures?– Rate of beneficial impacts?– How to monetarize benefits?

Page 21: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Two Estimates Linking Meat and Poultry Products and Listeriosis:

• FDA-FSIS Risk Assessment– DRAFT Recently Published

– Ranked Relative Risk across Many Foods

• Mead-Olsen Studies– A Combination of Two Independent CDC Studies

– Requires making some tenuous assumptions

– Probably gives lower bound of cases and deaths attributable to meat and poultry products

Page 22: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

DRAFT FDA-FSIS Risk Assessment

– Suggests that over 65 percent of cases and deaths are attributable to ready-to-eat meat and poultry products.

– Almost 90 percent of those are attributable to deli-meats.

– Remainder attributable to deli salads, hot dogs, pate, and dry fermented sausages.

– Estimated 1660 cases and 331 deaths per year attributable to meat and poultry products.

Page 23: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Mead-Olsen Studies

• Olsen estimates 8% of total food borne diseases attributable to meat and poultry products.

• Mead provides annual case and deaths estimates (above).

• The combination of these studies indicates that 167 cases and 35 deaths per year are attributable to meat and poultry products.

Page 24: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Average annual case and death reductions over 10 years

• Un-adjusted Mead-Olsen and Draft FDA-FSIS Study– Possible Case Reductions: 87 to 863– Possible Deaths Reductions: 18 to 173

• Adjusted for what can be controlled by Plant– Possible Case Reductions: 50 to 496– Possible Deaths Reductions: 10 to 99

• Adjusted for Program Effectiveness– Possible Case Reductions: 25 to 248– Possible Deaths Reductions: 5 to 50

Page 25: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Summary of Major Costs/Benefits • Nominal Costs (million $)

– First-year costs ………….…… $12.66 million– Recurring costs ..……...….….. $ 6.16 million– Costs over 10 years .………… $68.10 million

• Benefits in Lives Saved (5 to 50/year)– Highly Dependent on Assumptions of:

• Percentage attributable to meat and poultry products

• Percentage attributable to plants• Other regulatory actions • Effectiveness of measures

Page 26: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

Summary of Major Costs/Benefits

• Preliminary data suggest that Benefits exceed Costs

• FSIS seeks additional data and comments on costs and benefits to inform any final action

Page 27: Regulatory Impact Assessment of the Proposed RTE Rule Dr. Felix Spinelli Economist Regulations and Directives Development Staff USDA - Food Safety and

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