REGULATION OF FUNCTIONAL FOODS IN UKRAINE AND THE WORLD. PROSPECTS FOR THE USE OF POSTBIOTICS AS FUNCTIONAL INGREDIENTS

IF 0.2 Q4 FOOD SCIENCE & TECHNOLOGY Journal of Food Science and Technology-Ukraine Pub Date : 2023-10-02 DOI:10.15673/fst.v17i2.2641
A. Kapustian, N. Cherno, K. Naumenko, L. Gural, S. Osolina
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Abstract

Functional food allows to individualize the characteristics and necessities of each person. Over the past few decades, the demand for products that have a positive impact on human health has exploded worldwide. The market for functional foods in developed countries is estimated at USD 300 billion, which makes this sector attractive for investment. Accordingly, the production of functional foods and ingredients needs to be regulated at the state level. There is no harmonization in the definitions of functional foods and their classification at both the global and state levels. Despite the fact that the concept and terminology of functional food and the means of achieving it is well-established, the term “functional food” is often absent in the legislative acts of countries that actively produce functional foods, and the term “health-related food” is used instead. As a rule, health-related foods are subject to quality and safety requirements that are identical to those of conventional food products. Exceptions are regulations that establish rules for labeling FFPs and statements regarding their physiological effects or the content of a particular ingredient that may affect physiological aspects. In Europe and the USA, much attention is paid to the safety of “health-related food” and the novel food products. European Food Safety Authority and the US Food and Drug Administration require sponsors to submit information on the composition of multiple batches of a product to support safety evaluations for novel foods and Generally Recognized as Safe (GRAS) ingredients. In Ukraine, the legal status of the terms “functional food product” and dietary supplement was regulated by Law of Ukraine 771 “On Basic Principles and Requirements for Food Safety and Quality”, but in the version of this law dated 16.01.2020, this term was excluded, the term “dietary supplement” was edited and the term “novel food product or ingredient” was included, which is related to the process of harmonization of Ukrainian and European legislation in the food sector. In 2020, the Ministry of Health of Ukraine approved Order No. 1145 “On Approval of the Requirements for Nutrition Claims and Health Claims for Food Products”, which regulates the following concepts: claims and conditions for their use; health claims allowed to be used in food labeling and advertising, except for claims about reducing the risk of diseases and claims related to the development and health of children; claims about reducing the risk of diseases and claims related to the development and health of children. Unfortunately, Ukrainian regulations do not contain claims and conditions for the use of claims about pro- and prebiotics that have GRAS status worldwide. Particular attention should be paid to the possibility of using postbiotics as functional food ingredients with immunological activity.
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乌克兰及世界功能性食品法规。后生物制剂作为功能性成分的应用前景
功能食品可以使每个人的特点和必需品个性化。在过去的几十年里,世界各地对对人类健康有积极影响的产品的需求激增。发达国家的功能食品市场估计为3000亿美元,这使得该行业具有投资吸引力。因此,功能性食品和配料的生产需要在国家层面进行监管。功能性食品的定义和分类在全球和各州都没有统一。尽管功能食品的概念和术语以及实现功能食品的手段已经确立,但在积极生产功能食品的国家的立法行为中往往没有“功能食品”一词,而是使用“健康相关食品”一词。通常,与健康有关的食品必须遵守与传统食品相同的质量和安全要求。例外情况是建立FFPs标签规则和关于其生理作用或可能影响生理方面的特定成分含量的声明的法规。在欧洲和美国,“健康食品”和新型食品的安全性受到了极大的关注。欧洲食品安全局和美国食品和药物管理局要求申办者提交关于产品多批次成分的信息,以支持对新食品和公认安全(GRAS)成分的安全评估。在乌克兰,术语“功能性食品”和膳食补充剂的法律地位由乌克兰第771号法律“关于食品安全和质量的基本原则和要求”规定,但在2020年1月16日的该法律版本中,该术语被排除,术语“膳食补充剂”被编辑,术语“新型食品或成分”被包括在内,这与乌克兰和欧洲食品部门立法的协调过程有关。2020年,乌克兰卫生部批准了第1145号命令"关于批准食品营养声明和健康声明要求",该命令规定了以下概念:声明和使用条件;允许在食品标签和广告中使用的健康声明,但减少疾病风险的声明和与儿童发育和健康有关的声明除外;关于减少疾病风险的索赔和与儿童发育和健康有关的索赔。不幸的是,乌克兰的法规并没有包含全球范围内具有GRAS地位的益生菌和益生元的声明和使用条件。应特别注意使用后生物制剂作为具有免疫活性的功能性食品成分的可能性。
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自引率
50.00%
发文量
22
审稿时长
6 weeks
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