May 1-5, 2006, saw the thirty-fourth meeting of the Codex
Committee on Food Labelling (CCFL) take place in Ottawa, Canada. Along
with the Codex Committee on Nutrition and Foods for Special Dietary Uses (CCNFSDU),
CCFL is one of the main
Codex committees whose work is increasingly threatening the future of
natural healthcare and health freedom. Reporting on the meeting, Rima
Laibow and Major General Albert (Bert) N. Stubblebine III (U.S. Army,
Retired),
founders of the so-called
Natural
Solutions Foundation, curiously chose to describe the outcome as
having been
a "Stunning Victory" for health freedom, despite the fact that this
assertion has absolutely no basis in fact. So, what really happened in
Ottawa, and why are Codex reports issued by the
Natural
Solutions Foundation increasingly at odds with those of
more
experienced observers, including even those of
its own Legal Counsel?
As the
following article shows, not only was there no "Stunning Victory" for
health freedom at this meeting, but in reality the Codex position remains
blindly ignorant of the benefits of dietary supplements. As such, the
Codex Alimentarius Commission's increasingly desperate attempts to protect
the global markets in pharmaceuticals, artificial food additives,
agricultural chemicals and genetically-modified foods will, for the time
being at least, continue exactly as before.
The
reality of this therefore calls into question not only the credibility of
the Natural
Solutions Foundation, but also the possible motivations of its
founders. Rima Laibow's background is in psychiatry, for example,
whilst Major General Albert (Bert) N. Stubblebine has held several senior
posts in US Army Intelligence. Together
they sit
on the Board of Canadian Submarine Technologies Inc, and claim to be
the designers of AEGIS, "a major Homeland Security private initiative".
Perhaps
unsurprisingly then, the wildly inaccurate Codex articles emanating from
the Natural Solutions Foundation are now believed by some to be part of a
willful attempt to divide and discredit the health freedom movement via
the widespread dispersal of
misinformation and disinformation, and thus as acting clearly and
squarely in the interests of the "business
with disease".
Down to Business – as Usual
Key items
on the Codex Committee on Food Labelling's agenda this year included the
Implementation of the WHO Global Strategy On Diet, Physical Activity and
Health; Guidelines for the Production, Processing, Labeling and Marketing
of Organically Produced Foods; the Labeling of Foods and Food Ingredients
Obtained through Certain Techniques of Genetic Modification/Genetic
Engineering; and a Discussion Paper on Advertising.
Each of
these items are examined in detail below.
Agenda item 2b: Implementation of the WHO Global
Strategy On Diet, Physical Activity and Health
The
background to this agenda item goes back to the
July 2005 meeting of the Codex Alimentarius Commission, in Rome, where
it was decided that the potential areas for action by Codex in relation to
the implementation of the
WHO Global Strategy were mainly relevant to the work of the Codex
Committee on Food Labelling (CCFL) and the Codex Committee on Nutrition
and Foods for Special Dietary Uses (CCNFSDU). As a result it was agreed
that the World Health
Organization (WHO), in cooperation with the
Food and Agriculture
Organization of the United Nations (FAO), would produce a document for
consideration by these committees, including specific proposals for new
work.
The
discussions in Ottawa began with a presentation by Janice Albert, a
Nutrition Officer from the
Nutrition and
Consumer Protection Division of
FAO, who summed up the
background to the
discussion paper and outlined further areas for developing the Global
Strategy. Significantly therefore, and
as also confirmed by the National Health Federation, Ms. Albert did
not make a single mention of food supplements during her entire
presentation.
During
the deliberations that followed Ms Albert's presentation, the Delegation
of South Africa – supported by the National
Health Federation but by not so much as one single other delegation
out of the 82 that were present – put forward eleven proposals for the
Committee's consideration. These were as follows:
-
Formally recognize and accept that nutrients are not toxins. They
should be subjected to sound assessment procedures which take into
account empirical, clinical, statistical and peer review processes and
which take acknowledged benefits and desirable impact from the use of
them in order to achieve positive outcomes, into consideration;
-
Formally accept nutrients as generally safe and encourage the
unrestricted sale of that category of food called "dietary
supplements" at all levels, including optimum potency levels,
throughout the world;
-
Ban
all added trans fats derived from industrial hydrogenation in the
production of food;
-
Ensure that countries are encouraged to add, and do not place
restrictions on the addition of nutrients which are supported by
biochemistry, clinical nutrition, clinical experience, empirical
observation and customary usage to food;
-
Ensure that countries enact strong legislative restrictions on the
addition of industrial toxins to food, which are not supported by
biochemistry, clinical nutrition, clinical experience and customary
usage;
-
Allow
and encourage enrichment of foods through the addition of that class
of food called dietary supplements in order to optimize nutrient
density of foods. Require that countries compensate for the decline in
micronutrients in agricultural produce (e.g., fruits and vegetables)
as a result of the depletion of trace nutrients in soil by commercial
agriculture practices through the incorporation of that class of food
called dietary supplements in order to optimize nutrient density of
these foods;
-
Encourage and support the development of national and international
policies which, enhance local, national, regional and global optimal
nutrition through life-style modification (including diet),
fortification and supplementation with that category of food called
dietary supplements at all levels, including optimum potency levels;
-
Identify foods that do not contribute to, conflict with or are not
essential for a healthy lifestyle ("junk food"). Similarly, identify
foods that can support a healthy life-style. Support nutrition and
health claims in labelling and advertising for those foods that do
contribute to a healthy life-style and ban nutrition and health claims
on the labelling and advertising of those foods which do not
contribute to a healthy life style in order to encourage
healthsupporting foods and discourage ones that do not support health;
-
Ensure that countries encourage truthful, full and accurate labelling
and advertising on all foods, which contribute to health and ban
advertising and health claims on those that do not;
-
Ensure that countries develop a ban on junk food advertising to
children (birth to 18 years);
-
Require that the Chairpersons of CCFL and CCNFSDU report to the Codex
Alimentarius Commission every other year on the status of the
implementation of the WHO/FAO GLOBAL STRATEGY ON DIET, PHYSICAL
ACTIVITY AND HEALTH and items 1-10 listed above.
Recommendations of South Africa made at meeting of the Codex Committee
on Food Labelling (CCFL), in Ottawa, Canada, May 1-5, 2006
After
listening to these proposals, and also those of numerous other
delegations, including those of Austria (speaking on behalf of the Member
States of the European Community), India, Indonesia, Thailand, Brazil,
Senegal, Canada, France, Panama, the United States, Malaysia, Argentina,
Bhutan, New Zealand and Norway, the Committee's Chairperson, Dr. Anne
MacKenzie, noted that the comments and proposals made during the
discussion could be grouped according to the following five main themes:
-
Enhancing and improving the label information about the nutritional
aspects of foods offered to consumers to assist them in making
informed choices about foods to improve their health. In this regard,
making nutrition labelling mandatory even in the absence of claims was
suggested by several delegations.
-
The
importance of truthful and non-misleading marketing practices and
advertising in the promotion of the nutritional aspects of foods was
mentioned as part of the implementation of the Global Strategy.
-
Food
standards: It was noted that Codex standards should not impede the
development of modified versions of these foods intended to assist
consumers in improving their food choices.
-
Sound
science: The importance of a sound scientific basis for any actions
taken to implement the Global Strategy was emphasized. The work on the
framework for the scientific basis for health claims was noted in this
regard.
-
Improving access to information that is adequate, accurate and
truthful is important and particularly challenging with low levels of
literacy.
[Chairperson's summary of comments and proposals made regarding
Implementation of the WHO Global Strategy On Diet, Physical Activity and
Health, at meeting of the Codex Committee on Food Labelling (CCFL), in
Ottawa, Canada, May 1-5, 2006.]
Several
delegations however expressed the view that these themes "should
be considered only as questions for further discussion and did not
reflect the consensus of the Committee, since there were different
views regarding some areas of work, especially mandatory nutrition
labelling and advertising." Moreover, some delegations "did
not support any reference to specific areas of work at this stage".
As a result therefore, whilst the Committee indeed
noted some specific proposals for wording put forward in the
discussion the Chairperson explicitly stated that these were
not specific proposals for new work. (EMPHASIS ADDED)
Bearing
all of this in mind, the very best that we can say at the current time is
that
FAO and WHO will be taking the themes proposed into account and preparing
a new document for consideration at the upcoming meeting of the
Codex Alimentarius Commission in Geneva, 3-7 July, 2006. As such it
can be seen that whilst
WHO and FAO will be seeking the agreement of the Commission to proceed
with the development of a document containing proposals for
future areas of work in the implementation of the Global Strategy, it
would be grossly premature, at best, to say that this constitutes a
"Stunning Victory" for health freedom, as was claimed by the
Natural
Solutions Foundation. (EMPHASIS ADDED)
For
example, crucial pro-health freedom language proposed by the
National Health Federation relating to
the optimizing of health and nutrition was opposed by the United States
(represented as always at this meeting by the
US Food and Drug
Administration) and was consequently excluded from the list of five
themes described above – despite having initially been accepted by the
Chairperson for inclusion in
the report. Significantly therefore, neither
the
text of the current WHO/FAO discussion paper nor even that of
the Global Strategy itself makes any mention of the word "supplements"
or of the terms "dietary supplements" / "food supplements".
In
addition however, and contrary to
claims being made by the Natural Solutions Foundation, Codex has not
been directed to implement the eleven proposals made by South Africa.
Moreover, the fact that South Africa's proposals were
summed up in 9 lines in the official report released following the
meeting can hardly be described as a "Stunning Victory" for health
freedom, regardless of their merits. To draw an analogy, saying so is akin
to claiming that when a politician stood up in Parliament and made a great
speech his statements were a stunning victory for his policies because
they were summarised in the minutes.
Seasoned
observers of
Codex, FAO and
WHO will not find any
of this surprising, of course, as all three of these organizations have a
long track record in defending the interests of the "business
with disease", and thus in having direct responsibility for the
suffering and deaths of countless millions of people. Moreover,
experienced observers are also becoming increasingly used to reading
erroneous claims by the
Natural Solutions Foundation that
miracles have taken place at Codex meetings, and so in this sense too,
one could definitely say that the Committee on Food Labelling's meeting in
Ottawa this year was business as usual.
Agenda item 4: Guidelines for the Production,
Processing, Labelling and Marketing of Organically Produced Foods
Under
this agenda item the Committee considered substances to be permitted as
additives for use in organic food production. Worryingly therefore, some
of these substances, although natural in origin, are known to cause
allergic reactions in some people. An example of such a substance is
sulphur dioxide, which may precipitate an asthmatic attack in asthma
suffers or headaches or hives in others. Nevertheless this substance is
being considered for approval by the Committee for use in organic cider,
perry and wines.
Similarly
the Committee is also considering approving the use of sodium nitrite as a
colour retention agent and preservative in cured (including salted) and
dried non-heat treated processed organic meat, poultry and game products.
Sodium nitrite, which does not occur naturally, is capable of reacting
with substances called amines in the stomach to form nitrosamines which
are potentially carcinogenic. Sodium nitrite has also been implicated in
hyperactivity in children, and the UK's
Hyperactive Children's
Support Group (HACSG) recommend its elimination from the diets of
children afflicted with this disorder.
Worse
still however, the Committee gave its final approval for carrageenan to be
permitted for use in organic foods of plant origin and in some organic
dairy products. Carrageenan, an extract from red seaweed, is
believed by some to be associated with the formation of ulcers in the
intestines and cancerous tumors in the gut. Nevertheless, it is
expected that the
Codex Alimentarius Commission will endorse the approval of carrageenan
at its
upcoming meeting in Geneva, 3-8 July.
The
Committee is also considering approving the use of "natural sodium
nitrate" for use as a fertilizing and conditioning agent in organic soil.
Nitrates are capable of being converted to nitrites in the stomach, which
in turn are capable of reacting with substances called amines in the
stomach to form nitrosamines which are potentially carcinogenic. Like
sodium nitrite therefore, sodium nitrate has also been implicated in
hyperactivity in children, and the UK's
Hyperactive Children's
Support Group (HACSG) recommend its elimination from the diets of
children afflicted with this disorder. Fortunately however the Committee's
discussions regarding "natural sodium nitrate" are still at an early
stage, and at least for now there remains a significant amount of
opposition to the inclusion of this substance on the permitted list of
additives.
Finally,
and perhaps most worrying of all, the Committee agreed to seek the
approval of the
Codex Alimentarius Commission to undertake new work on the inclusion
of ethylene in the Guidelines for the Production, Processing, Labelling
and Marketing of Organically Produced Foods. Ethylene is used to
artificially induce fruits and vegetables to ripen whilst they are in
transit, and as such its approval for use on organic foods would represent
a disturbing step towards
WTO-enforced acceptance of the same dubious and unnatural agricultural
practices that their non-organic cousins are already subject to.
Why does
Codex want to water down organic standards in this way? Simple. Organic
foods promote better health than non-organic foods by virtue of their
containing higher levels of micronutrients. In addition, of course,
organic foods don't contain pesticides, residues of veterinary drugs or
genetically-modified organisms. Good health is inimical to the "business
with disease", and this ultimately makes organic foods a threat to the
pharmaceutical and chemical cartel; not only because they promote better
health, but also because they result in lower sales of pesticides and
veterinary drugs – and thus in lower profits.
Moreover,
and unlike genetically-modified seeds, organic seeds cannot be patented.
As such, given that some of the major players in the pharmaceutical and
chemical industry, such as
Bayer and
BASF, are also major players in the biotech industry, it can easily be
seen that the rising popularity of non-patentable organic foods is in fact
a serious and growing threat to the profits of the "business
with disease".
And how
is the "business
with disease" proposing to deal with this problem?
The
answer to that question can be found by studying – perhaps not
coincidentally – the very next item on the Committee's agenda.
Agenda item 5) Proposed Draft Guidelines for the
Labelling of Foods and Food Ingredients Obtained through Certain
Techniques of Genetic Modification / Genetic Engineering: Labelling
Provisions
At the
previous meeting of the Codex Committee on Food Labelling, in May 2005,
it was agreed that the Guidelines for the Labelling of Foods and Food
Ingredients Obtained through Certain Techniques of Genetic Modification /
Genetic Engineering should be redrafted by a working group led by the
Delegation of Canada, in order that they could be reconsidered at this
year's meeting. However the working group was not able to reach agreement
on the proposed restructured text, and the development of the Guidelines
essentially reached an impasse.
The key
question the working group could not agree upon was whether or not it
should be mandatory to fully disclose the presence of genetically modified
(GM) organisms on food labels. Not surprisingly therefore this issue was
hotly debated by the Committee during the discussions that took place at
this year's meeting.
Contrary
to most of the rest of the World, and as
reliably
reported by the National Health Federation, the general position of
the food-exporting Western Hemispheric delegations (Canada, USA, Mexico,
and Argentina) at this meeting was that work on this issue should be
dropped from the agenda. Naturally, such a development would mean that
there would be no international requirement for manufacturers or exporters
of genetically modified food to disclose the presence of genetically
modified organisms on their product labelling. This is what the big GM
food manufacturers want, of course, as they have long realized that
growing numbers of people are opposed to GM food products, and moreover
that they will not be able to change public opinion anytime soon.
As such,
given that some of the major players in the pharmaceutical and chemical
industry, such as
Bayer and
BASF, are also major players in the GM industry, it can be seen that
as with bans on vitamin and mineral supplements the pharmaceutical
industry is once again positioning itself as a key beneficiary at Codex.
To their great credit therefore, some of the national delegates at this
year's meeting not only recognised this fact but openly spoke up in
opposition to it.
The
Moroccan delegate, for example, stated: "The credibility of the
Committee has taken a blow today. GMOs should be subjected to mandatory
labelling that is clear and specific to the consumer. We must not mortgage
the future to the pharmaceutical companies and their allies."
Nevertheless, after a long discussion the Committee was still unable to
reach a consensus on this topic, and the Chairwoman accepted Norway's
suggestion for a working group to meet in Norway in January 2007 to
consider the issue further.
Business
as usual, perhaps? On this question, at least, we would concede that only
time will tell. One thing is already for sure however, in that neither the
Committee's discussions on organic foods nor those on genetically-modified
foods can remotely be described as a
"Stunning Victory" for health freedom.
Agenda item 8) Discussion Paper on Advertising
Arguments
as to how or whether Codex should deal with advertising issues have been
going on since at least 1972.
Discussions at the Committee's meeting in Ottawa this year centred around
whether or not work on a definition for advertising should be initiated,
and if it should, where (i.e. within which Codex text) such a definition
should be placed.
Prior to
the meeting a
discussion paper had been prepared by the Delegation of Canada, after
taking into consideration comments received following discussions at the
Committee's previous meeting. In introducing the paper Canada said that it
could see merit in developing a definition of advertising as it related to
nutrition and health claims. From a health freedom perspective however its
proposed definition was most worrying, and read as follows:
"Advertising: any representation to the public, by any means other than a
label, that is intended or is likely to influence and shape attitude,
beliefs and behaviours in order to promote directly or indirectly the sale
of the food."
The
wording of this proposed definition raises several key questions.
For
example, as well as its potential to result in the prohibition of
advertising legitimate, published, peer-reviewed scientific research
papers, could it also inhibit health freedom organizations from
influencing and shaping attitude, beliefs and behaviours regarding the
sale of dietary supplements?
Similarly, could restrictions on advertising based on this definition be
said to contravene the right to freedom of opinion and expression
and/or the freedom to hold opinions without interference and to seek,
receive and impart information and ideas through any media and regardless
of frontiers (both of which are enshrined in Article 19 of the
United
Nations' Universal Declaration of Human Rights)?
Regardless however, given that the "business
with disease" depends for its survival upon the restriction of any and
all means by which consumers can obtain natural health information,
potential restrictions on advertising are clearly a key health freedom
issue at Codex.
After
considerable discussion on this agenda item the Committee decided that
work on a definition for advertising should indeed be initiated, and,
after approval by the
Codex Alimentarius Commission at its
upcoming meeting in Geneva, Switzerland, 3-7 July, 2006, that the
definition proposed by Canada will be circulated for comments and further
developed at next year's meeting of the Committee in Ottawa.
Without a
doubt therefore, this development can only be viewed as anything but a
"Stunning Victory" for health freedom. Moreover, mention of it was
curiously absent from
press releases and
articles put out by the
Natural
Solutions Foundation. As such, we would argue that seasoned Codex
observers would be quite within their rights to wonder why so? Were the
founders of the
Natural
Solutions Foundation even in the room when this agenda item was
discussed, one wonders?
Truth – The First Casualty of War?
The claim
that a
"Stunning Victory" for health freedom took place in Ottawa at this
year's meeting of the Codex Committee on Food Labelling is just the latest
in an increasingly long line of
fictitious claims made by the
Natural
Solutions Foundation in relation to Codex. Their other notable
fabrications of this type, for example, include the
claim that a miracle had taken place in Rome at the July 2005 meeting
of the Codex Alimentarius Commission, and a
claim that the WHO and the FAO had expressed "significant displeasure
with the anti-health approach to nutrition taken by Codex over the past 4
decades." In reality, of course, not only have these claims already been
shown to be absolutely without foundation, but Janice Albert, a
Nutrition Officer from the
Nutrition and
Consumer Protection Division of FAO, has now
confirmed to the National Health Federation that there had been no
condemnation by either FAO or WHO of Codex on the subject of nutrition.
Of
course, we wholeheartedly agree that it would be far preferable if we were
able to consistently report good news from Codex meetings. Moreover we are
ever conscious of the possibility that continued reporting of "business as
usual", or worse, at Codex could develop into a self-fulfilling prophecy.
However, and seemingly unlike the
Natural
Solutions Foundation, we remain committed to reporting the truth, the
whole truth and nothing but the truth. As such, and whilst we fully accept
that
we are witnessing a war on our health freedoms, we find it both
regrettable and disturbing that the oft-quoted maxim of truth being the
first casualty of war is now itself being knowingly turned into a
self-fulfilling prophecy by the
Natural
Solutions Foundation.
Without
doubt, our strongest weapon in this war is the truth. The pharmaceutical
industry knows this, and the "business
with disease" depends for its existence upon suppression of the facts.
As such, inaccurate reporting and exaggeration of the events that take
place at Codex meetings plays into the very hands of the pharma cartel
itself, and will, in the end, achieve nothing but discredit and failure
for the health freedom movement if it chooses to replace truth with
misinformation and disinformation spread by the likes of the
Natural
Solutions Foundation.
Conclusion
If,
having read this article, you are still in any doubt as to whether or not
there was a "Stunning Victory" for health freedom at
the thirty-fourth meeting of the Codex Committee on Food Labelling (CCFL)
in Ottawa, Canada, as was claimed by the
Natural
Solutions Foundation, we suggest that you should consider the
following:
The Natural Solution Foundation's own Legal Counsel, Ralph Fucetola, JD,
attended the meeting in Ottawa, and provided a
report on it to his
Vitamin Lawyer
contact elist. Fucetola has been practicing law, specializing in Nutrient
and Alternative Health Law, since the early 1970s, and has been widely
recognized as a leading attorney in the field. Significantly therefore,
not only does his report omit mention of any "Stunning Victory", but it
also specifically states that "Both vitamin purveyors and consumers could
be the losers" and that "'business as usual' predominated" at the meeting.
Moreover, Fucetola also describes "a coordinated attack on natural health
lead (sic) by the otherwise rival US and EU delegations", and talks about
"the marginalization of the Global Strategy".
Similarly, an experienced delegation from the
National Health Federation was also present at the meeting.
Established in 1955, the National Health Federation is no stranger to
Codex issues, and to this day remains the only health-freedom organization
in the world that is
officially credentialed as an INGO (International Non-Governmental
Organization) by the Codex Alimentarius Commission with the right to
attend and speak out at its committee meetings. The National Health
Federation's
report
on the Ottawa meeting concludes that "with anti-health-freedom
delegations such as the United States and the European Commission running
the show at Codex and with most other delegations blissfully uncaring or
unknowledgeable about the true health benefits that optimal health and
nutrition play in preventing disease and other health problems, the
direction of the various Codex guidelines is still off-course".
So, do
YOU trust
the Natural Solutions Foundation – an organization whose website did not
even come into existence until February 2005?
We most
certainly don't.
Original article may be found at: