[Federal Register Volume 86, Number 128 (Thursday, July 8, 2021)]
[Notices]
[Pages 36086-36090]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2021-14554]



[[Page 36086]]

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DEPARTMENT OF AGRICULTURE

Food Safety and Inspection Service

[Docket No. FSIS-2014-0034]


Availability of Revised Compliance Guidelines for Controlling 
Salmonella and Campylobacter in Raw Poultry

AGENCY: Food Safety and Inspection Service, USDA.

ACTION: Notice of availability and response to comments.

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SUMMARY: The Food Safety and Inspection Service (FSIS) is announcing 
the availability of revised guidelines to assist poultry establishments 
in controlling Salmonella and Campylobacter in raw poultry. The Agency 
has revised the content of the guidelines in light of new scientific 
and technical information, public comments received on the 2015 
guideline, and the Agency's decision to issue two separate guidelines--
one on controlling Salmonella and the other on controlling 
Campylobacter. The guidelines provide ``best practice'' recommendations 
that poultry establishments may follow to reduce Salmonella and 
Campylobacter contamination of raw products.

ADDRESSES: Downloadable versions of the revised guidelines are 
available at https://www.fsis.usda.gov/wps/portal/fsis/topics/regulatory-compliance/guidelines. The Agency has not published hard 
copies of these documents.

FOR FURTHER INFORMATION CONTACT: Rachel A. Edelstein, Assistant 
Administrator, Office of Policy and Program Development, FSIS; 
Telephone: (202) 205-0495.

SUPPLEMENTARY INFORMATION:

Background

    On December 16, 2015, FSIS published a Federal Register notice (80 
FR 78166) announcing the availability of and opportunity to comment on 
a revised Agency compliance guideline for controlling Salmonella and 
Campylobacter in raw poultry. This revision was the fourth edition of 
the guideline the Agency had developed to assist establishments that 
slaughter or process raw poultry products to minimize or prevent the 
risk of Salmonella and Campylobacter in their operations.

Updated Guidelines

    FSIS has updated the guideline contents to reflect the most recent 
best practices, supported by current peer-reviewed literature and 
analyses of FSIS data. Updates include information on using 
neutralizing agents in sampling to prevent carryover of antimicrobial 
substances and a current list of antimicrobials for establishment use. 
Also included are improvements in the information on pre-harvest 
practices, with a comprehensive revision of the litter/bedding section. 
With the updated information, establishments of various sizes and 
configurations have practical options for reducing and inhibiting the 
growth of pathogens commonly found in raw poultry.
    In response to the comments, FSIS also reviewed the recommendations 
in the previous version of the guideline and assessed each section for 
utility and effectiveness. The resulting changes include a complete 
revision of the sections on litter and bedding and updates to FSIS data 
on the rate at which Salmonella or Campylobacter contamination can be 
attributed to source materials of different composition. Also, the 
Agency is now issuing the revised document as two separate guidelines, 
one focused on control of Salmonella, and the other on Campylobacter. 
The guidelines are posted at https://www.fsis.usda.gov/policy/fsis-guidelines. Although comments will no longer be accepted through 
regulations.gov on these guidelines, FSIS will update these documents 
as necessary if new information becomes available.

Comments and Responses

    FSIS received fifteen comments in response to the December 16, 
2015, Federal Register notice and guideline. The commenters included 
consumer and industry associations, individuals, and firms that 
specialize in providing technology and services to the regulated 
industry. The comments and the Agency's responses, discussed below, 
have been grouped by topic area.

Pre-Harvest

    Comment: A poultry industry association remarked that 
considerations and sampling for Salmonella and Campylobacter should not 
affect the Hazard Analysis and Critical Control Point (HACCP) system of 
the receiving establishment. The same association stated that, while 
good husbandry practices are important, the goal of obtaining pathogen-
free flocks and many of the recommendations for doing so are 
unrealistic and unnecessary. According to the association, the Agency 
should revise the discussion of pre-harvest practices in the guideline 
to reflect currently available, commercially proven methods that can be 
practically implemented.
    Response: Information about pre-harvest conditions and 
particularly, pathogen levels on incoming flocks, can inform the 
establishment's hazard analysis and decisions on controls to include in 
its HACCP plan. In the guideline, FSIS acknowledges that there may be 
no single pre-harvest intervention that eliminates Salmonella and 
Campylobacter as pre-harvest hazards. The Agency recommends instead a 
multi-hurdle approach involving successive interventions that can have 
a cumulative effect in reducing the pathogen contamination of birds. 
The Agency has modified some language in the pre-harvest section of the 
guideline to reflect current scientific literature.
    Comment: The poultry industry association said that another area of 
concern is the recommendation to change bedding between each flock. 
According to the poultry industry association, that is not always the 
best way to control Salmonella growth because new litter can be a 
bigger risk factor for Salmonella than old litter, depending on the pH 
profile involved. The poultry industry association argued that the 
section on transportation crate maintenance is similarly impractical.
    Response: Litter, or bedding, can be considered a potential 
reservoir for contamination with Salmonella and other pathogens. The 
presence or absence of contamination in litter is among the pre-harvest 
conditions of which a prudent establishment should be aware, along with 
clean transport crates. FSIS has updated the pre-harvest and 
transportation sections of the guideline with practical suggestions, 
based on informative studies, and also updated the section on scheduled 
slaughter (taking account of pathogen loads on incoming flocks).

Sanitation

    Comment: An animal health and food-safety technology and services 
provider recommended changes in the guideline discussion of cleaning 
procedures by adding, after the removal of debris, dry-pickup of gross 
soils and pre-rinsing to remove remaining soil before using a cleaning 
agent, such as a detergent. This commenter also recommended that the 
guideline include a table (provided by the commenter) showing the 
factors to consider when choosing a sanitizer for a particular 
application.
    Response: FSIS has accepted the recommended edits to the discussion 
of cleaning procedures in the sanitation section. The Agency has also 
removed some outdated references that the commenter noted and added the 
table of sanitizer characteristics.

[[Page 36087]]

    Comment: The poultry industry association said that the guideline 
includes prescriptive practices that are neither reasonable nor 
necessary and that are not conducive to chicken processing. For 
example, the association stated that sanitizing hand-held knives 
between each carcass is not reasonable, nor would it result in 
significant pathogen reduction on final products. According to the 
association, sanitization between each carcass would increase handling 
time and create more opportunity for pathogen outgrowth, thereby 
increasing food-safety risks.
    Response: The guideline recommends sanitizing knives in 180-degree 
water or an antimicrobial solution after cutting or trimming each 
carcass, which should result in the reduced transfer of pathogens from 
one carcass to the next.
    FSIS guidance is intended to offer practical solutions to food 
safety problems, with some recommendations likely more useful in small 
and very small establishments and others more suitable for large 
establishments. Most of the information in this guidance should be 
useful to all establishments, including small and very small 
establishments. Although bacterial outgrowth is not a result of time 
alone, it would certainly be one consideration for an establishment 
contemplating this factor in its process.
    Comment: The poultry industry association added that other 
recommendations in the guidelines, such as that to limit solution reuse 
during injection marinating to prevent contamination, is not supported 
by scientific evidence.
    Response: FSIS updated the guidelines to include citations to 
scientific studies indicating that marination of non-heat-treated 
poultry parts can result in larger bacterial populations on the 
poultry,\1\ depending on the type of marinade used.\2\ Injection or 
other contact across carcasses can introduce a potential point for 
cross-contamination. A prime example in the guidance showing this 
mechanism of internalizing pathogens is an outbreak of Escherichia coli 
O157:H7 in beef steaks that occurred in 2007.\3\ Establishments should 
consider the effects of injected solutions in their hazard analyses (9 
CFR 417.2(a)) and support all decisions made in the hazard analysis, 9 
CFR 417.5(a)(1). At this step in a process, an establishment could 
address the risk in several ways, depending on its process. One 
approach described in the guidelines is the use of an ultraviolet light 
intervention applied to the marinade solution between uses.\4\ 
Additionally, the formulation of a marinade may include antimicrobial 
components, to achieve a specific pH or antimicrobial activity; 
examples of acceptable ingredients for this use are listed in the 
lookup table of FSIS Directive 7120.1, ``Safe and Suitable 
Ingredients.''
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    \1\ See Hinton, et al., (ARS) abstract for International 
Association for Food Protection (2004), ``Comparison of 
psychrotrophic bacterial flora of fresh and marinated chicken breast 
fillets during refrigerated storage.''
    \2\ See R. Thanissery and D.P. Smith, ``Effect of Marinade 
Containing Thyme and Orange Oils on Broiler Breast Fillet and Whole 
Wing Aerobic Bacteria During Refrigerated Storage,'' in The Journal 
of Applied Poultry Research 23 (2): 228-232; May 2014
    \3\ See FSIS. 2007. ``Pennsylvania Firm Recalls Beef Products 
for Possible E. coli O157:H7'' Recall Release. Available at: https://www.fsis.usda.gov/wps/wcm/connect/5a217ede-de72-474a-b384-6643a8ac12f8/Recall_019_2007_Release.pdf?MOD=AJPERES.
    \4\ Beers KL, Cook PE, Coleman CW, and Waldroup AL. 2010. 
Efficacy of ultraviolet light systems for control of microorganisms 
in poultry and beef brine and marinade solutions. Poult Sci. 89 (E-
Supplement 1): 615.
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Lotting Practices

    Comment: A poultry industry association asked the Agency to revise 
its recommendations on lotting practices to remove the emphasis on 
``microbiological independence'' relating to pathogens that do not 
legally adulterate raw product by their presence alone, or per se.
    Response: FSIS did not make changes to its recommendations on 
lotting practices. Concepts related to microbiological independence, or 
the unlikelihood of cross-contamination, apply to all pathogens. 
Considering lotting practices in such cases can help to maximize the 
value of testing and process control throughout production. Under 
HACCP, establishments may test for pathogens to verify that they are 
adequately addressing microbial hazards.
    Also, as discussed in the December 6, 2012, Federal Register Notice 
on HACCP-plan reassessment for not-ready-to-eat (NRTE) comminuted 
poultry products (77 FR 72686, at 72689), when a NRTE product is 
credibly linked to an outbreak of illness caused by a pathogen, FSIS 
may consider the product to be adulterated, even if the pathogen does 
not adulterate the implicated NRTE product per se.
    Comment: The poultry industry association said that, in addition to 
the above concerns regarding microbiologically-based lotting practices, 
the Agency should be aware that: Lot-traceback information may be 
commercially sensitive; separation in time and space is difficult in 
establishments running multiple lines and mixing flocks; and 
microbiological testing takes days to complete--too late for processed 
poultry already in commerce. For these reasons, according to the 
poultry industry association, the Agency should remove these 
recommendations from the guideline.
    Response: As mentioned in the previous response, in situations 
where pathogenic organisms in NRTE products have been linked to 
foodborne illness outbreaks, FSIS has deemed the products to be 
adulterated. FSIS and members of the regulated industry have been 
interested in preventing situations like those. Accordingly, the 
guideline contains recommendations for lot separation, traceback, and 
microbiological testing. These approaches to monitoring, tracking, and 
controlling potentially contaminated products can help in preventing 
pathogen spread and illness outbreaks.
    Comment: The poultry industry association said that recordkeeping 
recommendations must be relevant to establishment operations and must 
allow for flexibility according to establishment size and resources.
    Response: The recordkeeping recommendations in the guideline are 
premised on the assumption that the establishment already has records 
that meets the HACCP, Sanitation Standard Operating Procedures, and 
other regulatory requirements. Establishments have significant 
flexibility in meeting these recordkeeping requirements and 
recordkeeping will vary in technical and other aspects from 
establishment to establishment. Additionally, the guideline sets out 
recordkeeping elements that are associated with sampling and testing 
and that are fairly basic and general. As such, FSIS has not revised 
the recordkeeping guidance.

Process Control

    Comment: A poultry industry association requested that the Agency 
clarify key concepts and terms used in the guidance. For example, the 
association said that, while FSIS states throughout the guidance that 
establishments should reduce pathogens to ``acceptable levels,'' the 
guideline is not clear enough about what those acceptable levels are. 
The poultry industry association suggested that FSIS use its pathogen 
reduction performance standards as examples of acceptable levels and 
state that other metrics than prevalence might be used in evaluating 
acceptable levels.
    Response: In the context used in the guidelines, ``acceptable 
levels'' of pathogens are defined by an establishment for use as 
control

[[Page 36088]]

parameters in its HACCP system. These upper and lower control limits 
may use prevalence to measure control of a hazard over time. As defined 
in the 2009 review of FSIS public health risk-based systems by the 
Institute of Medicine, ``[a] process is in control when, within the 
limits of a stable and predictable process variation, all hazards are 
controlled to an acceptable level.'' \5\
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    \5\ IOM (Institute of Medicine). 2009. Review of the Use of 
Process Control Indicators in the FSIS Public Health Risk-Based 
Inspection System: A Letter Report. Washington, DC: The National 
Academies Press. P.12.
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    Data collected initially by the establishment can be used in 
process mapping for HACCP validation. The establishment can compare 
pathogen levels on incoming and final product to determine whether the 
process is achieving the desired reduction in microbial loads. Then, if 
the pathogen testing results demonstrate that the process is 
functioning correctly, the establishment can use the testing results 
for indicator bacteria to set a maximum limit for each indicator at 
each collection point. FSIS agrees with the commenter, however, that 
where the Agency's pathogen-reduction performance standards apply, an 
acceptable level would be one that is at or below the pathogen limit of 
a standard. Just as in the 2015 guidance, the updated guidance 
continues to advise an establishment seeking to reduce microbial 
hazards to consider FSIS's applicable Salmonella and Campylobacter 
performance standards for carcasses, parts, and comminuted poultry.
    Comment: The poultry industry association said that, additionally, 
the guideline frequently instructs establishments to reevaluate their 
processes if they are resulting in ``high numbers'' of Campylobacter or 
Salmonella subtypes more commonly associated with human illness, 
without defining what the Agency views as a ``high level'' of these 
serotypes. Further, the poultry industry association argued that 
serotypes have little or no practical impact on HACCP systems. 
According to the commenter, a good HACCP system should work to control 
all Salmonella serotypes or Campylobacter species regardless of their 
serotype.
    Response: Under HACCP, criteria for additional testing or actions 
are defined by the establishment. These criteria could be derived from 
the establishment's own baseline data, as well as the frequency at 
which serotypes of human-health concern are identified in that 
baseline. While FSIS agrees that HACCP systems should address all 
pathogens, FSIS uses characterization data, including serotypes of 
increased human health concern, to prioritize further evaluation and 
assessment of an establishment's HACCP system. Specifically, if an 
establishment does not meet FSIS performance standards, as part of the 
public health review evaluation (PHRE), FSIS will assess whether the 
Agency has found frequent serotypes of public health concern in the 
establishment's product. If so, FSIS will also likely conduct a food 
safety assessment (FSA) at the establishment.
    Comment: A poultry industry association noted that the 2015 
guidance appears to conflate the terms ``prevalence'' and ``load'' when 
referring to recommendations for decreasing Salmonella and 
Campylobacter. According to the poultry industry association, the 
``prevalence'' of a pathogen on raw poultry product is a distinctly 
different microbial sampling metric than the ``load,'' or quantity, of 
pathogen on a raw poultry product. The prevalence of a pathogen refers 
to the presence or absence of a pathogen, regardless of quantity and is 
usually expressed as a percentage or rate of occurrence over time. By 
contrast, the microbial load of a pathogen refers to the concentration 
of bacteria (for example, in colony-forming units) in or on a unit of 
product. Yet, according to the poultry industry association, the 
guideline uses the terms ``prevalence'' and ``load'' interchangeably 
when recommending practices to decrease the ``prevalence'' or ``load'' 
of Salmonella and Campylobacter on raw poultry products. The poultry 
industry association argued that these two metrics are not, in fact, 
interchangeable. Since FSIS had reiterated that the Agency will focus 
on the presence of Salmonella or Campylobacter rather than on load, the 
poultry industry association recommended that the Agency revise the 
guidance for consistency in referring to ``prevalence'' rather than 
``load.'' According to the poultry industry association, the guidance 
should refer to ``prevalence'' rather than ``load.''
    Response: FSIS disagrees that it conflated the terms ``prevalence'' 
and ``load'' and did not make the poultry association's recommended 
changes to the guidelines. Establishments are not limited to 
considering only prevalence, which may be derived from qualitative test 
results over time, when designing and implementing a HACCP system. 
Available tools for enumeration can help inform a prudent establishment 
so that it can consider the impact of pathogen load, or the actual 
levels of contamination in positive samples, along with the prevalence 
information in order to improve process-control systems.
    Comment: The poultry industry association offered several 
recommendations intended to improve discussion in the guidance of data 
analysis techniques. Thus, in the area of process mapping, the poultry 
industry association recommended that FSIS give establishments the 
flexibility to use process indicators that reliably reflect their 
operations and environments. The poultry industry association also 
suggested edits to make the text more consistent with tables that show 
median values for indicator organisms on poultry carcasses and parts. 
The poultry industry association remarked that linking a product with 
human illness is not necessarily evidence of a loss of control by the 
establishment that prepared the product. The poultry industry 
association also stated that the use of (microbiological) performance 
standards is not the only way to evaluate process controls. The 
commenter also stated that the ``moving window'' approach to monitoring 
and assessing whether establishments meet performance standards and use 
of the category-ranking system has not been evaluated for assessing 
process control.
    Response: Establishments are free to choose appropriate 
microbiological indicators for determining process-control 
effectiveness. FSIS has removed some of the material about sampling for 
specific indicator organisms, including the sections regarding median 
indicator values, as more detail is provided in the FSIS Compliance 
Guideline: Modernization of Poultry Slaughter Inspection--
Microbiological Sampling of Raw Poultry \6\ to assist small and very 
small establishments that may not have their own baseline information.
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    \6\ Available at: https://www.fsis.usda.gov/guidelines/2015-0013.
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    While microbiological performance standards may not be the only 
measures of process control, they do help focus industry attention on 
the public health aspects of poultry processing and the need to improve 
processes as necessary to prevent foodborne illnesses. During the past 
two years, FSIS has been employing the ``moving window'' data-frame for 
microbiological test results on poultry products as a way of 
determining whether establishments meet performance standards over 
time. FSIS has evaluated the technique as a more consistent replacement 
for sampling sets that can better identify trends, such as seasonality, 
over time.
    Comment: The poultry industry association recommended that FSIS

[[Page 36089]]

adjust its picture caption concerning optimal application of 
antimicrobial spray to a conveyor belt and products on the belt. The 
poultry industry association also noted that application of the spray 
does reduce pathogens even if the coverage of the spray is less than 
complete.
    Response: FSIS has modified the language of the caption in question 
in the guidance to clarify the point that not all the belt is being 
treated. The Agency acknowledges that there will be some pathogen-
reduction effects like those in the illustration but recommends that 
the spray adequately cover the belt and products.
    Comment: The poultry industry association stated that the 2015 
guidance instructed establishments to evaluate their process if they 
encountered ``high numbers'' of serotypes of public health concern. 
According to the poultry industry association, the Agency should 
instead advise establishments to work at controlling all species of 
Salmonella or Campylobacter, regardless of serotype.
    Response: The guidance encourages establishments to control all 
Salmonella and Campylobacter throughout their process. Establishments 
should consider all available information about hazards identified from 
their operations. This may include information about the point in the 
process where hazards are most often recovered, the lot or flock 
information, and characterization of the hazard recovered, including 
serotype. FSIS provides Salmonella serotype results to establishments 
to facilitate their efforts in identifying the appropriate response, 
which could include both serotype-specific interventions at pre-harvest 
(e.g., vaccines) as well as Salmonella controls in the establishment.
    Comment: The poultry industry association said in the section of 
the guidance on sampling and testing, it appeared that the Agency 
expected sampling and testing results for pathogens to be available in 
real time to assess bacterial load just before processing. The poultry 
industry association noted that this is not possible.
    Response: FSIS has clarified the language in this section of the 
guidance to note that these testing options would need to be performed 
with adequate time allowed for the results to be used as effective 
tools. A number of rapid-testing methodologies may be fit-for-purpose 
for this use.
    Comment: The poultry industry association stated that the Agency 
should provide additional information relating to its exploratory 
sampling results for raw, comminuted chicken in the guidance. The 
associated noted that Table 6 presents the prevalence rates of 
Salmonella and Campylobacter in mechanically separated chicken and 
ground and comminuted chicken products, organized by whether the source 
material had bone or skin in it. According to the poultry industry 
association, it would be useful to know how many samples were available 
for each of the statistics generated for the percent prevalence for 
these products, given the limited number of samples in the 2015 
guideline dataset.
    Response: FSIS has updated the statistics reported in Table 6 of 
the guidance with additional data points to strengthen the analysis. 
These updated tables represent 934 comminuted turkey samples and 2,688 
comminuted chicken samples, more than 10 times the data points for 
chicken and 40 times the data points for turkey versus the data points 
used for the 2015 guidance. Analyses of FSIS comminuted poultry 
exploratory sampling results shows that it is more likely that 
comminuted chicken will be positive for Salmonella when its source 
materials contain both bone and skin (56.0%). However, for 
Campylobacter, comminuted chicken products made from bone-in and 
skinless source materials were highest. Comminuted chicken made from 
deboned and skinless source materials had the lowest prevalence for 
both pathogens (34.8% for Salmonella, and 1.7% for Campylobacter). 
Statistical analyses, including that for independence and for 
significance, were used to evaluate the data before compiling the 
relative risk tables that have been updated in this edition of the 
guidance.

Antimicrobial Interventions

    Comment: An environmental advocacy group questioned the Agency's 
continued support for food irradiation.
    Response: The guidance includes irradiation among the safe and 
effective physical interventions available. While FSIS does not 
recommend the use of specific interventions or lethality treatments, 
food irradiation has been demonstrated to be both safe and effective in 
controlling pathogens. FSIS and the Food and Drug Administration (FDA) 
regulations authorize its use in the treatment of ready-to-cook poultry 
(9 CFR 424.22(c), citing 21 CFR 179.26)).
    Comment: The same advocacy group noted that the Agency continues to 
recommend the use of various chemical agents to reduce the levels of 
Salmonella and Campylobacter in poultry processing. It asked about the 
role played by the Occupational Safety and Health Administration (OSHA) 
in determining permissible exposure levels (PELs) for these substances 
and their impact on FSIS inspectors and on plant employees.
    Response: While FSIS does not recommend the use of specific 
interventions, many chemical products have been demonstrated to be both 
safe and effective. Chemical substances used in the processing of meat, 
poultry, and egg products are approved by both FDA and FSIS before they 
can be used in official establishments. They are listed in the on-line 
table referred to in FSIS Directive 7120.1, ``Safe and Suitable 
Ingredients used in the Production of Meat, Poultry, and Egg 
Products,'' \7\ which is updated regularly.
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    \7\ Available at: https://www.fsis.usda.gov/wps/wcm/connect/bab10e09-aefa-483b-8be8-809a1f051d4c/7120.1.pdf?MOD=AJPERES.
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    FSIS does not allow the use of chemicals in a manner that may be a 
health risk to inspection personnel. Inspectors in every establishment 
verify that establishments use only approved chemicals as ingredients 
and only within approved limits, as outlined in FSIS Directive 7120.1. 
In addition, the Agency has a network of occupational safety and health 
experts in its inspection districts and distributes information on 
health hazards to its workforce. The information includes the OSHA PELs 
and other exposure limits applying to chemicals that may be used in 
meat, poultry, and egg products plants. (See https://www.fsis.usda.gov/wps/portal/informational/aboutfsis/audience-employees/employee-safety/environmental-safety-health.)
    Comment: A poultry industry association advised FSIS to replace the 
``requirement'' to wait ``at least 60 seconds'' for drip time before 
collecting a product sample with ``a drip time appropriate to prevent 
excessive antimicrobial carryover.'' According to the poultry industry 
association, establishments are familiar with the antimicrobial 
treatments applied to products in their operations and the appropriate 
neutralization periods for each treatment.
    Response: FSIS has edited the language in the guidance to be more 
inclusive of the many antimicrobial interventions available and the 
manufacturers' instructions specific to each.
    Comment: A poultry industry association recommended that the 
guidance reflect differences between Salmonella and Campylobacter. 
According to the association, the guideline's assertion (in the section 
on actions to take in response to test

[[Page 36090]]

results) that an intervention to prevent, eliminate, or reduce 
Salmonella will also reduce or prevent Campylobacter is not 
scientifically accurate.
    Response: The Agency has modified the language in question to 
account for the different effects of different interventions. Also, the 
Agency has divided the guidance into two separate documents--one 
addressing Salmonella, the other Campylobacter--with the aim of 
accounting for differences between the pathogens and ensuring that 
recommended controls will be effective. FSIS also revised the guidance 
to include additional literature supporting controls for the pathogens. 
The updated references may assist establishments in identifying the 
best process controls for Salmonella and Campylobacter in their 
operations.
    FSIS agrees that an intervention for controlling one microorganism 
will not necessarily have a similar effect on the other. For example, 
hard freezing is likely to be more effective against Campylobacter than 
Salmonella. On the other hand, vaccine development for controlling 
Salmonella in flocks is clearly in advance of that for controlling 
Campylobacter.

New Technology Review

    Comment: The poultry industry association said that FSIS has 
recommended several interventions that the industry has sought but that 
are still awaiting review or approval by FSIS. According to the poultry 
industry association, the Agency should consider an expedited review 
and approval process.
    Response: The Agency does not have a backlog of new technology 
submissions. The Agency reviews a new technology to determine whether 
it may express its ``non-disapproval'' for use of the technology. The 
technology should be safe to use, compliant with pertinent regulations, 
not interfere with inspection procedures, and help the establishment 
achieve the objectives of its HACCP system. FSIS has made available a 
guideline to assist the industry in preparing and submitting new-
technology notifications and protocols to the Agency (See https://www.fsis.usda.gov/guidelines/2015-0012). By following the advice in the 
guideline, the submitter can assist the Agency in completing its review 
within a reasonable timeframe. FSIS Directive 7,120.1, on ''Safe and 
Suitable Ingredients,'' is updated every month to incorporate newly 
approved entries, including new interventions (See https://www.fsis.usda.gov/wps/wcm/connect/bab10e09-aefa-483b-8be8-809a1f051d4c/7120.1.pdf?MOD=AJPERES).

Additional Public Notification

    Public awareness of all segments of rulemaking and policy 
development is important. Consequently, FSIS will announce this notice 
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    Done, at Washington, DC.
Paul Kiecker,
Administrator.
[FR Doc. 2021-14554 Filed 7-7-21; 8:45 am]
BILLING CODE 3410-DM-P