| Literature DB >> 26133973 |
Roger Magnusson1, Belinda Reeve2.
Abstract
Strategies to reduce excess salt consumption play an important role in preventing cardiovascular disease, which is the largest contributor to global mortality from non-communicable diseases. In many countries, voluntary food reformulation programs seek to reduce salt levels across selected product categories, guided by aspirational targets to be achieved progressively over time. This paper evaluates the industry-led salt reduction programs that operate in the United Kingdom and Australia. Drawing on theoretical concepts from the field of regulatory studies, we propose a step-wise or "responsive" approach that introduces regulatory "scaffolds" to progressively increase levels of government oversight and control in response to industry inaction or under-performance. Our model makes full use of the food industry's willingness to reduce salt levels in products to meet reformulation targets, but recognizes that governments remain accountable for addressing major diet-related health risks. Creative regulatory strategies can assist governments to fulfill their public health obligations, including in circumstances where there are political barriers to direct, statutory regulation of the food industry.Entities:
Keywords: Australia; United Kingdom; food policy; legislation; non-communicable disease; regulation; salt reduction
Mesh:
Substances:
Year: 2015 PMID: 26133973 PMCID: PMC4516998 DOI: 10.3390/nu7075221
Source DB: PubMed Journal: Nutrients ISSN: 2072-6643 Impact factor: 5.717
Figure 1The voluntary, front-of-pack “Health Star Rating” label (Australia) [43] (Health Star Rating trademarks are owned by the Commonwealth of Australia.
Figure 2The voluntary, hybrid, front-of-pack nutrition label incorporating percentage reference intakes (daily guideline amounts) with color coding (United Kingdom).
A framework of “regulatory scaffolds” for strengthening the design and performance of food reformulation initiatives.
| The goals of industry codes | Clearly identify the goals the initiative is intended to achieve; include measurable targets for evaluating overall performance across a defined timeframe. |
| Terms, definitions and exceptions in industry codes | Define key terms and definitions used in initiatives; specifically identify any exceptions. |
| Administration | Grant administration of the scheme to an independent, accountable body, e.g., a committee with equal representation from government, industry, and public health organisations, with each member’s roles and responsibilities clearly identified in writing. |
| Monitoring | Conduct independent, transparent and comprehensive monitoring of the scheme, using baseline data and a set of measurable, time-bound process and outcome indicators, and accompanied by public reporting of the results. |
| Review | Undertake regular, independent, external reviews, using baseline data and performance indicators that can be used to measure the initiative’s success in achieving its objectives; publicly report the results of any reviews. |
| Incentives for compliance | Provide incentives that motivate participants to comply, e.g., positive publicity, subsidies for research and development, or a promotional labeling scheme. |
| Deterrents for non-compliance | Provide for a wide range of sanctions that deter non-compliance by participants and free-riding by non-participants, e.g., “naming and shaming”, fines, and expulsion from the scheme; threaten escalation to more coercive regulatory options if voluntary initiatives fail to produce significant improvements in companies’ performance. |
Key features of a step-wise, responsive regulatory approach to strengthening voluntary national salt reduction schemes.
| Government should:
Commit to a national target for population salt reduction Collect baseline data on population salt intake Develop a food databank recording baseline average salt levels across food categories and sub-categories for which targets will be set Allocate responsibility for achieving a specific share of the national target between processed food manufacturers and food retailers | |||
| Phase 1 | Wide-ranging, aggressive reformulation targets are created, which if achieved, will enable food manufacturers and retailers to meet their share of the national target.Maximum salt caps are introduced, particularly for product categories that contribute significantly to excess salt intake, and potentially for new products introduced into the market. Compliance with reformulation targets and salt caps remains voluntary. However, participating companies are required to report on specific actions taken to meet targets and commitments. | Governance structures for the salt reduction scheme are strengthened by increasing the level of representation by government, consumer and public health groups. | Food manufacturers, retailers and caterers that contribute the greatest amount of salt to the food supply are identified and asked to join the scheme. Government and/or scheme administration engages in a targeted recruitment drive. Department of Health threatens industry with mandatory participation in Phase 2 if there is insufficient compliance/low levels of participation. Companies that fail to meet targets and commitments are “named and shamed”; high achievers are praised. Government sets out a timetable for legislative action if progress falls behind minimum-stated level of achievement within a given timeframe. |
| Phase 2 | Average salt reduction targets and salt caps apply specifically to each manufacturer’s product portfolio (rather than collectively to all participants).Reformulation targets and caps remain voluntary, but mandatory high-salt warning labels apply to non- complying products (e.g., mandatory traffic light labeling). | Administration of the scheme is transferred to an independent government agency, which is given a statutory mandate to implement and enforce the program. | Companies that fail to prepare action plans and submit annual reports in a timely fashion are penalized (e.g., fines). |
| Phase 3 | The independent regulator could set mandatory targets for particular product categories where participants fail to make adequate progress.Dept. of Health (or independent regulator) requires under-performing companies to enter into enforceable agreements to implement reformulation plans, with company-specific targets for product lines, interim targets, and sanctions for non-compliance.Complying companies would remain under Phase 2. | ||
| Phase 4 | Government introduces mandatory salt limits for sales-weighted averages and maximum salt caps for a wide range of processed and restaurant food categories. | ||
Figure 3Pie-chart showing indicative allocation of responsibility for reducing population salt intake between consumers, food manufacturers, supermarket chains and chain restaurants.