Posts Tagged ‘Gluten Intolerance Group’

Applegate Recall and GFCO Update

Thursday, February 14th, 2013

I just wanted to post a follow-up to my earlier post about theApplegate Recall and the GIG Gluten-Free Product Certification (GFCO) program.  In my original post, I posed an open question to GIG Executive Director, Cynthia Kupper.  That question was:

How many inspectors does GIG have for its certification process and do these inspectors visit each facility at least once a year?

I asked the question again on April 6th after Ms. Kupper contacted me via Facebook and left it on the table for a response.  To-date I have not received a response nor do I think that I will.  I am guessing that answering the question would open GIG up to increased criticism because something tells me that they are not visiting every certified location around the globe (remember it is an international program) at least once a year.  In all of her responses, Ms. Kupper has been rather dismissive that the rigor of the certification program should even come under scrutiny.

I was able to access GIG’s public 2011 Federal 990 filing (only the 2010 was available at the time of my original post) and their certification program revenue is now listed at $899,302 and even after $415,241 in listed expenses it is still their main profit center which says something.  That’s a 58.6% jump in revenue over the previous year for the certification program.

I also find that it speaks volumes that nowhere (at least to my knowledge) on the GIG or GFCO Web sites does it even mention that one of their “certified” products was even under a recall.  I suppose why bite the hand that feeds you?  A recall of this magnitude and GIG’s lack of transparency with their certification program has led me to place very little value on the certified gluten-free logo – and I am clearly not alone based on some of the comments and e-mails I received from many of you.  I don’t question that they have good intentions but I do question whether or not they should be in the certification process period.

So, it is caveat emptor when it comes to purchasing certified gluten-free products and quite frankly the GFCO logo will no longer play a role when this Celiac is doing his shopping.  I remain of the mindset that you simply cannot certify something that has no real standards.

Applegate Recall and GF Certification. My Two Cents.

Tuesday, January 22nd, 2013

I have had many people contact me regarding the Applegate Gluten-Free Chicken Nugget recall namely because they could not understand how something like this could happen to a product that carries the Gluten Intolerance Group’s (GIG) Certified Gluten-Free certification seal.  First off, I want to state that I am a huge supporter of advocacy groups like GIG who help raise awareness for Celiacs like myself.  They do great work and this post is not meant to belittle the work that they do but rather to question one part of that work that might be outside of their operational depth.

I too was a bit taken aback that something like this could happen – particularly to an item that carried the certified GF designation.  In this recall case, apparently the wrong products made it into the wrong packages (approximately 1,572 pounds of chicken, that’s 3,144 packages).  Here’s some of Applegate’s explanations from their FAQs for the recall (the full FAQs can be viewed here):

How much of this product is out in the marketplace?
We have confirmed that 3,144 packages of Applegate Naturals Gluten-Free Chicken Nuggets are potentially affected. The shipment of this product has been tracked and all retailers with affected product have been notified.

How did the problem occur?
During the packaging process, the product containing gluten was packed in boxes that are labeled as gluten-free. This was an isolated issue and did not impact any other products.

How did Applegate know there was a problem with the recalled product?
The problem was detected by a consumer who is familiar with the product and noted a color difference. This product was labeled with a Lot Code 210864 and a “Best Before” date of August 28, 2013.

So essentially the products in question made it through the entire production and packaging processes entering the market without anyone from Applegate even picking up on the mistake.  According to both Applegate and the USDA’s Food Safety and Inspection Service (in their Class I recall notice) it was a consumer who noticed that the products in question did not look the same as the gluten-free variety they were familiar with.

While I realize mistakes happen, it is the fact that the products made it to market that I find most difficult to understand – particularly since the products in question carry a rather large certified gluten-free logo on the front of the box.  Clearly consumers have certain expectations when they choose to purchase a product with the certified gluten-free logo.  So I began to wonder just what was involved in the GIG gluten-free certification process.  I knew that it entailed the evaluating and testing of prospective manufacturers and their products but after this incident began to question the rigor of such certification programs.  I looked through their materials on their Web site but their The Complete Guide to Certified Gluten-Free Products, Companies and Manufacturers was still pretty broad with only two pages out of 100+ actually discussing the certification process and the remainder allocated to showcasing companies and products already certified.  I still was unclear as to the true scope of the whole certification process – with the main question being is it the entire process that is certified or just the products?

I decided to  e-mail Cynthia Kupper, GIG’s Executive Director, the following questions to better understand the entire certification process:

  1. Could you please speak to the scope and rigor of your certification process?
  2. Does your certification process include the manufacturing, product testing, and packaging components?
  3. What steps do you take (or will you now be taking) with certified manufacturers who experience a recall?
  4. Are certified companies held accountable for such errors and will there certification be re-evaluated or revoked?
  5. Will you be changing or enhancing your certification process now that a recall has occurred?

I have to say that within a couple of hours of sending my e-mail I received a response from Ms. Kupper stating that she responded to a discussion post I had started in a Facebook Group that pretty much answered the questions I have posed.  Her response was as follows:

GFCO, a certification program run by GIG, has very strict standards in place. We use auditors with at least 3-5 years doing food safety audits in manufacturing companies.

GFCO, as with all certification programs of any type, review complete processes, including the GMP and HACCP programs. This looks at all levels of production, raw material procurement and handling, cleaning, packaging, etc. GFCO reviews risks of mistakes and will require changes in order to certify a plant or product. If a company does not agree with the requirements for testing, audits and other required changes, certification is not issued.

No certification program has an auditor observing production at all times. Kosher certification companies probably do the most audits, outside of the USDA. But even then, the USDA inspector is not observing the production lines during the entire process (and they have offices in the plants).

In order for GFCO to do this type of monitoring, we would have to hire thousands of auditors and pay them to be in a plant continuously. This is impractical and would run the cost of GF foods to an unreasonably high price.

This was a company issued voluntary recall. Meaning they contacted the regulatory agencies to inform them of the mistake and issued the recall. Corrective actions have already been implemented.

Certification is voluntary. A company that chooses third party certification programs generally do so to build consumer confidence and to set themselves apart from the competition. GIG takes certification very seriously. We contact the companies with recalls routinely to assure that we agree with their corrective actions, and to determine if GFCO needs to also take additional actions, such as increased audits and testing.

While I appreciate that no certification program is 100% foolproof I do have to question the rigor of voluntary types of certification programs like GIGs.  Are they better than nothing – sure.  Let’s face it, companies are paying GIG to have their products certified so it is a revenue stream for the organization.  In its 2010 Federal 990 filing, the GIG certification program was listed as generating more than $500,000 in revenue.  I understand that there are expenses incurred for the certification program but nonetheless it shows that companies are in fact paying for the voluntary privilege of certification.  We as consumers are also paying a premium for certified gluten-free products so I do not think it is too much to ask that those items and their manufacturing processes (from start to finish) are stringently overseen.  My only additional question to GIG would be: How many inspectors does GIG have for its certification process and do these inspectors visit each facility at least once a year?

Applegate’s resolution for helping to ensure this does not happen again is perhaps what worries me most (excepted from their FAQ site):

How will Applegate prevent this from happening in the future?
We have carefully evaluated every step in the processing and packaging of this product. As a result, we have identified and implemented the following steps that will provide added assurance against a similar incident occurring in the future.

We have improved our label verification process. A sample of each of our gluten-free retail boxes is now verified against a printed image of each box and all employees who process or pack the product have been fully educated on this improved process.

If more than one product is packed on the same line on the same day, we will document and verify that all packaging from the prior run is removed from the area before starting a new product run.

Quite honestly I would have expected that the above measures to already be in place in a gluten-free certified product – particularly one produced in a shared (both GF and non-GF) manufacturing facility.  Getting the correct products into the correct box should be a minimal expectation for a certified company.  The most worrying part of all this is that thousands of boxes went unnoticed and made it into consumers hands.  I completely understand that mistakes do happen but this was a case of 3,144 mistakes that had a consumer not noticed, could have ended quite differently if the packages were consumed (at the time of this post the USDA indicated that no other complaints had been reported).

As with most things gluten-free it still comes down to a personal comfort level when purchasing and consuming gluten-free products.  Will I still purchase GIG certified gluten-free items?  Yes.  I mean with no federal gluten-free standards at least some level of monitoring is better than none.  Do I think that perhaps GIG is operating a bit beyond its capacity?  Yes.  I am sure that they have the best intentions with their certification program but perhaps it has grown beyond what they can effectively manage to ensure that program rigor is maintained.  I fully understand that when eating out or purchasing products, unless it is a dedicated facility or establishment, that things can go wrong.  As a Celiac and food allergic consumer I can only take a leap of faith and make the best personal decisions I can when it comes to food – particularly when it comes to packaged products.

Will I purchase Applegate Gluten-Free products?  Likely not in the near future.  I just can’t get past the fact that so many thousands of products made it into the marketplace unbeknownst to Applegate.  I do appreciate the fact that steps are being taken to prevent things like this from happening in the future but really feel they dropped the ball on this one – which is a shame because I usually have six or seven boxes in my freezer at all times and I have been a loyal fan for years.

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Shades of Amber, Domino’s Pizza and the NFCA

Tuesday, May 15th, 2012

I have been waiting for the proverbial dust to settle a bit regarding the whole National Foundation for Celiac Awareness (NFCA)/Domino’s debacle hit the social media space last week.  I was off and on jury duty so was only able to follow the events briefly before heading out in the morning and then once I got home in the evening.  Unplugging for a bit actually gave me a bit of time to think about the situation and, in particular, the NFCA’s GREAT Kitchens designation.

First off, let us not forget the championing that the NFCA has done and continues to do on behalf of Celiacs to help raise awareness.  That goes without question and I think that Alice Bast and her staff have done a tremendous job.  I do however take issue with the GREAT Kitchens program credentialing system at both the Amber and Green designation-levels.  I think that the NFCA is well outside of its depth in trying to take on such a large initiative without really being able to effectively monitor or regulate the restaurants participating in their program.

I was actually invited to a virtual press conference the NFCA had to explain the new GREAT designations a couple of weeks ago.  I have to say I did find the system a bit confusing – in particular the Amber designation that seemed to not really stand for anything other than, in the words of the NFCA, a restaurant using gluten-free ingredients and has completed staff training to understand the health needs of those with gluten-related disorders. However, these restaurants cannot guarantee an environment free of cross-contamination.  This seemed to raise flags and confusion among those on the call only to be magnified when Domino’s and it’s gluten-free crust were announced to be carrying the Amber designation hit the airwaves.

I had trouble wrapping my head around the whole credentialing concept the NFCA has undertaken and tried to get a better understanding of exactly the type of commitment and training was required by those agreeing to take part.  To my surprise, and NFCA please correct me if I am wrong, to earn the highest-level of Green, participating restaurants need only have their staff take part in 90 minutes of online training modules.  Now this seemed a bit strange to me because there didn’t really seem to be any hard follow-ups or checks that would ensure that restaurants actually not only understood but were following the guidelines consistently.  I also question whether, given the complex nature of Celiac disease and the restrictions Celiac diners face, if online learning is the most effective method to use.  I mean I can watch 90 minutes of brain surgery but that doesn’t make me a surgeon.  Okay, perhaps a bit of a strong example but I don’t expect a restaurant employee to understand the intricacies of Celiac disease after 90 minutes – and quite frankly they have my health in their hands.  I was diagnosed more than ten years ago and I am still learning – and that’s with 90,000+ hours of learning.

Add the Amber designation into the mix and well, it really starts to become murky and dilute the seriousness that should be taken when it comes to restaurants understanding the needs and intricacies of safely serving Celiac guests.  So this brings us back to the Domino’s gluten-free pizza being not suitable for Celiacs. I did a double-take when I saw that but was thankful that at least they, per the NFCA product messaging, called out that it was definitely not recommended for Celiacs.  I would think that for a restaurant to earn even the Amber designation that all franchise employees would be required to take the training module.  I just find it hard to fathom that every U.S. Domino’s franchised employee took the Amber certification module (in whatever form it was given) as called out in their credentialing criteria.

In my opinion (and clearly I am not alone) the Amber designation does little to help ensure that an establishment is even remotely safe for Celiac diners.  All it does is potentially lull Celiac diners into a false sense of confused security.  It still requires us to remain diligent and ask the right questions wherever we dine – gluten-free, gluten-friendly, or otherwise.

The NFCA continues to do great work to help raise awareness for Celiac disease but has perhaps overstepped it’s capabilities in trying to act as an accrediting agency without the infrastructure needed to support and continually maintain that participating restaurants  are in fact adhering to the guidelines.  The NFCA called this out on the conference call stating they were relying on diners to report back on their experiences at credentialed restaurants as they just didn’t have the capacity to take this on themselves.

My friends over at 1 in 133 have started a petition to Ditch Amber and I encourage all Celiacs to make their voices heard by signing the petition to help the NFCA realize the error of its ways.  Cynthia Kupper, Executive Director of the Gluten Intolerant Group (GIG) wrote a tremendous open letter to Alice Bast, Executive Director at NFCA which is definitely worth reading and makes some really excellent points.  We, as a community, need to come together on this one because there is already far too much confusion out there when it comes to Celiac disease as the general public is constantly bombarded with the gluten-free FAD vs. the gluten-free reality that is our lives.

Update: May 16, 2012

I received an e-mail from the NFCA yesterday evening that provided additional detail on their GREAT Kitchens credentialing program and to be completely transparent and allow for both sides of the issue to be heard I am sharing it with my readers.

From Jennifer North, Vice President, NFCA:

We are in the process of rolling out our expanded GREAT Kitchens training program, which will be replacing the 90-minute GREAT Kitchens program that we currently have on celiaclearning.com.

We also provide on-site training and consulting (that integrates gluten-free training into a restaurant’s existing training program).

The new training will have five topical modules, PDF checklists and manual and a variety of other tools. We’ve launched our Ingredients module and the remaining modules will be released in a beta version, one by one, over the next 4-6 weeks.

In order to be eligible for the designations, restaurants completing the online training must also complete the appropriate checklists, sign an Agreement of Gluten-Free Intent (which is different language for each designation), submit a sample menu, have a Complaint Policy in place and get a passing score on the corresponding test. The modules are:

  • Ingredients
  • Front of House
  • Back of House
  • Gluten-Free Guests
  • Special Diets Overview

Restaurants engaging in training outside of the online program must also complete these processes, or the equivalent.

I thank the NFCA for providing additional details regarding the program.  I also had a few additional questions regarding the additional detail they provided that I have e-mailed to the NFCA and will post the answers as soon as I receive them.  Stay tuned.  Here’s what I asked:

  1. Could you please explain the method of administration and time commitment for restaurants for both the Amber and Green designations?
  2. Are the on-site training and consulting services you referenced add-ons and not a required part of the formal credentialing process?
  3. How is the credentialing of franchises handled? Must each employee at each location take part in the formal training process and subsequent testing and how is this tracked and certified? If not, how is this handled?
  4. Unless a restaurant utilizes your in-house consulting option there is no on-site visit made to any of the restaurants applying for credentialing?
  5. I know that the NFCA mentioned that it is relying on consumers to help monitor participating restaurants via several mediums. After credentialing has been awarded, is there no formal check by the NFCA to ensure that restaurants are complying? How often must a credentialed restaurant re-certify to maintain their designation?

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