The Codex
Alimentarius Commission, the active arm of the United Nations Food Standards
Programme, is currently in the process of completing a controversial global
guideline on the manufacture and sale of nutritional supplements. However, the drafting of
this text, the Draft Guidelines for Vitamin and Mineral Food Supplements, has
not been carried out in accordance with the rules set out in the Codex
Procedural Manual (14th edition), and the Guidelines are therefore defective.
Drafted by the Codex
Committee on Nutrition and Foods for Special Dietary Uses (CCNFSDU), the Draft
Guidelines for Vitamin and Mineral Food Supplements advocate similar
restrictions on the sale of nutrients to those contained in the EU Food
Supplements Directive, which itself was recently rejected as invalid by Advocate
General Geelhoed of the European Court of Justice in Luxembourg.
Specifically,
paragraph (b) (page 57) of the Codex Procedural Manual, dealing with DRAWING UP
OF CODEX STANDARDS (under GUIDELINES ON THE CONDUCT OF MEETINGS OF CODEX
COMMITTEES AND AD HOC INTERGOVERNMENTAL TASK FORCES), states that:
”… all standards and
related texts should have a preface containing … a brief description of the
scope and purpose(s) of the standard or related text,”
This
requirement was established at the 19th Session of the Codex Committee on
General Principles, held in Paris between 17-21 November 2003, and then adopted
at the 27th Session of the Codex Alimentarius Commission, held in Geneva between
28th June and 2nd July 2004. The CCNFSDU subsequently met in Bonn from 1-5
November 2004 (26th Session), but did not take proper account of this
requirement when considering the guidelines, as evidenced by both the text of
the guidelines and the CCNFSDU’s report of its 26th session:
1.Neither the
Preamble nor the Scope of the Guidelines for Vitamin and Mineral Food
Supplements contain any statement to indicate the purpose(s) of the text.
Given therefore that Codex texts have been used by the World Trade Organization
as the benchmark in international trade disputes, and moreover that it is
expected that they will be used increasingly in this regard, it is therefore of
crucial legal importance that the question “What is the purpose of the
guidelines?” should have a clear, easily understandable answer, and moreover
that this should be provided in the text.
2.The
CCNFSDU’s Report of its 26th Session gives no indication that the requirement
for the preface to contain a description of the purpose of the text was even
considered,
despite the fact that the matter was raised at this session by the delegations
of South Africa, Tanzania, and the National Health Federation.
With the above in mind, it is now clear that the 28th Session of
the Codex Alimentarius Commission that will be meeting in Rome from 4-9 July
2005 has no option but to refer the Guidelines for Vitamin and Mineral Food
Supplements back to the CCNFSDU, in accordance with the GUIDE TO THE
CONSIDERATION OF STANDARDS AT STEP 8 OF THE PROCEDURE FOR THE ELABORATION OF
CODEX STANDARDS INCLUDING CONSIDERATION OF ANY STATEMENTS RELATING TO ECONOMIC
IMPACT, as described on pages 26-27 of the Codex Procedural Manual (14th
edition). As such, until such time as the CCNFSDU’s written comments regarding
this matter have been received and considered by the Codex Alimentarius
Commission, the Codex Guidelines for Vitamin and Mineral Food Supplements should
not, and indeed, cannot, be advanced beyond Step 8 of the Procedure. To act
otherwise would be for the Commission to violate its own rules of procedure.