July
2006 – The 29th Session of the
Codex Alimentarius Commission took place in Geneva, Switzerland, 3-7
July, 2006. Whilst it may have been somewhat "out of the limelight"
recently, the Commission's support for the "business with disease" has
continued unabated, and the wide scope of its activities continues to make
it a significant and growing danger to the future health of all humanity.
The collaborative partnership between FAO
and Codex
After some initial
introductions from the Commission's new Chairman, Dr. Claude J.S. Mosha of
the United Republic of Tanzania, an opening statement was made by Dr.
Kraisid Tontisirin, Director of the
Nutrition
and Consumer Protection Division, Agriculture, Biosecurity, Nutrition and
Consumer Protection Department, FAO.
Tontisirin talked about
the growing interest in Codex in "civil society", claiming that Codex can
be proud of what it has achieved, but adding, ominously, that there is a
lot still to be done. He added that it is important to communicate the
work of Codex to "civil society". In talking about the work of Codex – and
in particularly sharp contrast to
claims by the Natural Solutions Foundation that
FAO has expressed
"significant displeasure with the anti-health approach to nutrition taken
by Codex over the past 4 decades" – Tontisirin particularly emphasised the
collaborative partnership that FAO and Codex enjoy.
Amendments to the Codex Procedural Manual
As regular visitors to
our website will no doubt already be aware, the legal bases for the
Commission's operations and the procedures it is required to follow are
published in the
Codex Alimentarius Procedural Manual. Codex delegates make frequent
reference to this publication during their meetings, and repeatedly stress
the importance of Codex standards and other related texts being drawn up
in accordance with its requirements. Nevertheless, and as
the adoption of the Guidelines for Vitamin and Mineral Food Supplements in
July 2005 demonstrated only too well, the Commission is quite happy to
follow these rules when they suit its aims, but not when they
threaten them.
Significantly therefore,
during this year's meeting the Commission's agenda included a proposal by
the Codex Committee on General Principles to delete a key statement from
the Procedural Manual that the Codex Alimentarius "also includes
provisions of an advisory nature in the form of codes of practice,
guidelines and other recommended measures intended to assist in achieving
the purposes of the Codex Alimentarius."
The proposal to delete
this statement was most significant, as the Commission frequently claims
that the adoption by countries of Codex guidelines is merely optional.
Nevertheless, here it was considering the deletion from the Procedural
Manual of a statement that some texts were "advisory".
Notably therefore, the
delegation from the United States was openly in favour of the proposal to
delete this statement. Several other delegations meanwhile – including
those of Malaysia, Singapore and the National
Health Federation (NHF) – opposed its deletion, expressing the view
that if no reference were made to advisory texts then it might logically
be presumed that Codex texts were indeed mandatory.
As a result, the Chair
subsequently acknowledged that there was strong and sustained opposition
to the proposal, and the matter was forwarded back to the Codex Committee
on General Principles without the aforesaid amendment to the Procedural
Manual being made.
The ‘watering-down’ of standards for
organic foods
This year's meeting of
the Commission also considered a list of additives recently recommended by
the Codex Committee on Food Labelling (CCFL) to be permitted for use in
organic foods of plant origin and in some organic dairy products. The
delegation from Cuba strongly objected to the adoption of this list,
whilst NHF objected to the inclusion of
carrageenan on the grounds that there is some
evidence it is associated with the formation of ulcers in the intestines
and cancerous tumors in the gut. NHF also made the point that
consumers equate usage of the word "organic" with safety; and as such,
given that one of the primary stated aims of Codex is supposedly to
protect the health of consumers, that carrageenan should not be
permitted for use in organic foods.
The delegations from the
United States and the European Union, however, supported the adoption of
this list of additives. Nevertheless, bearing in mind that
the Commission's Executive Committee had also recently expressed concern
about its adoption, albeit on a technicality, the Chairman returned
the list to CCFL for comments and further consideration.
Arguably the most
controversial issue discussed by the Commission affecting organic food was
a proposal by CCFL for Codex 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 this proposal represented a disturbing step towards
World Trade Organization-enforced
acceptance of the same dubious and unnatural agricultural practices that
their non-organic cousins are already subject to.
During the Commission's
discussions, NHF pointed out that whilst
consumers purchase organic foods for a wide variety of reasons there can
be little doubt that the increasing demand for organic food is
representative of the fact that consumers increasingly want their food to
be produced in as natural a manner as possible. As such, it went on,
interfering with the rate that organic food ripens is not
conducive to producing it in as natural a manner as possible, despite the
fact that plants produce their own ethylene as part of their ripening
processes. NHF concluded by saying that it strongly believed the
commencement of this work would be in direct contravention of principles
that are widely accepted and promoted by consumers and advocates of
organic foods, and asked for its objections to the proposal to be noted in
the Commission's report.
Nevertheless, and despite
further objections from the delegations of Cuba, Egypt and the
Philippines, the Chairman ruled that work on the inclusion of ethylene in
the Guidelines could go ahead.
Codex proposed definition of advertising
contravenes UN Universal Declaration of Human Rights?
Another controversial
decision at this year's meeting of the Commission was a decision to
approve new work on a definition of advertising in relation to health and
nutrition claims.
From a health freedom
perspective, the definition that has been proposed is most worrying, and
reads 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 now clearly a key health freedom
issue at Codex.
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,
Italy, 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.
Discussions at this
year's meeting of the Commission opened with a summary by a representative
of WHO regarding the discussions that had taken place thus far at
CCNFSDU in November 2005 and
CCFL in May 2006.
The WHO/FAO
recommendations regarding the next steps to be taken were as follows:
-
WHO and FAO
respectfully request that the Commission accept the delay in presenting
a document for their consideration during this 29th session.
-
If the Commission
so decides, WHO and FAO will complete an action document for Codex soon
after the present session of the Commission and the Codex Secretariat
will circulate it for comment to all Codex Contact Points by way of a
Circular Letter. The comments received, together with the document
itself, will be considered by the next sessions of CCNFSDU and CCFL. The
views and recommendations of these committees will then be forwarded to
the 30th Session of the Commission for further guidance.
The Chairman put these
recommendations to the Commission, and it was agreed that WHO and FAO
would complete a document containing concrete proposals for possible
actions by Codex, and that this would be circulated for comments. The
comments received, together with the document itself, will then be
considered at the next meetings of CCNFSDU and CCFL, after which the views
and recommendations of these committees will be forwarded to the next
meeting of the Commission for further guidance.
Notably, therefore,
the latest Discussion Paper on the Global Strategy – prepared prior to
the meeting by WHO in cooperation with FAO – summarises the
extensive comments submitted by South Africa at the May 2006 meeting
of CCFL in a mere two lines, as follows:
One respondent noted
that dietary supplements can play a key role in eliminating world hunger
and promoting world health outcomes in line with the Global Strategy and
in line with the mandate and work of Codex.
As such, regular visitors
to our website will note the stark contrast between this fact and
claims being made by the Natural Solutions Foundation that Codex has
been directed to implement the eleven proposals made by South Africa.
Chaotic, disorganised and inefficient
In some senses the
meetings of the Codex Commission present quite a different overall picture
to the one that is sometimes observed at meetings of some of the
individual Codex committees. For example, whilst on the one hand
the Commission is intimately connected to the hydra-headed beast
controlling the global food and nutrient supply, the reality is that
its meetings can at times be chaotic, disorganized and inefficient.
Moreover, whilst some
delegations, such as the European Community, the United States, Canada,
Australia, New Zealand, Malaysia and India undoubtedly follow closely
everything that goes on, others at times give the appearance of being
unprepared; of not taking proper notes; of not properly understanding what
is being discussed; or of only being interested in particular agenda
items.
Also, and in addition to
the manipulation that goes on both behind the scenes and during the
meetings themselves, there can be little doubt that Codex is increasingly
a monolithic bureaucracy, and that as such it is subject to many of the
same problems that all pan-global organizations are prone to becoming
infected by. Much of the time, for example, the countries that attend
Codex meetings are pulling in opposite directions simultaneously, with the
result that nothing ever gets agreed quickly and whatever does get agreed
is by definition a lowest common denominator result.
Furthermore, and as the
Review of the Codex Committee Structure and Mandates of Codex Committees
and Task Forces has notably pointed out, "Most of the committees
are comprised of dedicated expert specialists. They are largely autonomous
and with little formal linkages or accountability to other committees.
They generally propose their own work programmes, in areas which are so
specialized as to make close oversight or scrutiny by the Commission
extremely difficult." Whilst we would obviously strongly differ with
this statement over its use of the phrase "expert specialists" (in the
sense that so far as dietary supplements and natural therapies are
concerned Codex committees mostly contain neither experts nor specialists)
the reality is that its general thrust is essentially not quite so wide of
the mark as some might imagine.
Autonomous committees
with little formal linkages or accountability to other committees are
perfect targets for being hijacked by industry, special interests and the
proponents of "harmonization at any cost" – especially so when
the texts that these committees produce are used by the WTO to resolve
international trade disputes. Add into this mix the fact that the vast
majority of the national delegates who attend Codex meetings have only a
very limited knowledge of modern nutritional science and natural
therapies, and it very quickly becomes easy to see how we ended up where
we are now.
Conclusion
The cosy picture that the
Codex Alimentarius Commission paints of itself on
its website is largely disinformation designed to deflect us from its
true purposes. Nevertheless, whilst this picture has latterly been further
complicated by
organizations and
individuals spreading additional
disinformation about Codex, we should not allow this to distract us
from the truth.
Codex is not just about
nutritional supplements. In fact, it is the primary political battlefield
where the war is being waged about who will regulate and control the
global food supply from farm to fork. This ‘war’ is being waged by
an increasingly tangled web of global authorities, big business and
financial interests, and, as such, trade and profit are its prime
goals – not human health.
Current indications
suggest that the long-term financial winners in the battle to gain control
over the world's food supply are likely to be the pharmaceutical and
chemical industries; especially so given that the adoption of still
further Codex guidelines for foods derived from biotechnology now seems
almost inevitable. As a result, our freedom of choice, our future health
and the environment itself are all now clearly at risk.
Good nutrition and
optimum health threaten the pharmaceutical industry's "business
with disease" because they reduce the size of the marketplace for
synthetic drugs. However, food that is free of pesticide residues,
artificial additives and other contaminants can, by definition, only come
about as a result of a lower global usage, or ideally the entire
elimination, of these chemicals. This, of course, would not be in the
financial interests of the pharmaceutical and chemical companies that
manufacture such substances, as it would clearly result in lower profits,
better health for entire populations, and a consequent reduction in the
use of synthetic drugs.
In conclusion therefore,
whilst it may have been somewhat "out of the limelight" recently, the
Codex Alimentarius Commission's support for the "business with disease"
has continued unabated, and the wide scope of its activities continues to
make it a significant danger to the future health of all humanity.
Do we want to see a world
where our access to safe, nutritious foods and effective dietary
supplements is restricted and controlled by pharmaceutical and chemical
interests? If not then we must act now, before it's too late.
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