To Amend the Standard of Identity for Milk, 21 C.F.R. 131.110, to Includes Optional Characterizing Flavoring Ingredients With any Safe and Suitable Sweetener

 
Docket ID: FDA-2009-P-0147
Agency: Food and Drug Administration (FDA)
Parent Agency: Department of Health and Human Services (HHS)
RIN: Not Assigned

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      undefined
      • n/a

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0521
      • Organization:
      • Submitter Name:
      undefined
      • Please find attached a comment from Food & Water Watch, urging the FDA to reject the petition to amend the standards of identity for milk and 17 additional dairy products.

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0520
      • Organization:
      • Submitter Name:
      undefined
      • Consumers Union’s Comments Regarding “Flavored Milk; Petition to Amend the Standards of Identity For Milk and 17 Additional Dairy Products,” Docket No. FDA-2009-P-0147 Prepared by...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0519
      • Organization:
      • Submitter Name:
      undefined
      • Margaret A. Hamburg, MD Commissioner, Food & Drug Administration 10903 New Hampshire Avenue Silver Spring, MD 20993 Submitted electronically: Regulations.gov Re: Docket No. FDA...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0518
      • Organization:
      • Submitter Name:
      undefined
      • The National Family Farm Coalition, representing the interests of family farmers, ranchers, fishermen, workers, and rural communities, is adamantly opposed to the petition...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0517
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0516
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0515
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0514
      • Organization:
      • Submitter Name:
      undefined
      • Attached, please find the comments of the National Consumers League.

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0513
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0512
      • Organization:
      • Submitter Name:
      undefined
      • See attached comment.

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0511
      • Organization:
      • Submitter Name:
      undefined
      • We filed our documents on paper with attachments and mailed to the Div of Dockets Management via U.S. Certified Mail [Return Receipt] on May 16, 2013 (last week). This electronic...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0510
      • Organization:
      • Submitter Name:
      • I normally do not respond to these issues, but this one so irresponsible and shows no regard for the safety of children consuming milk in our schools. As a school cafeteria...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0509
      • Organization:
      • Submitter Name:
      • Adding hidden artificial sweeteners to dairy products would hurt the dairy industry by further reducing the number of people who could safely consume dairy products. Adding...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0508
      • Organization:
      • Submitter Name:
      • To Whom It May Concern, We fervently oppose the National Milk Producers Federation (NMPF) and International Dairy Foods Association (IDFA) proposal that threatens the definition...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0507
      • Organization:
      • Submitter Name:
      • I would oppose this change as I believe the current options for dairy sweeteners are sufficient. While there may be low risk to aspartame and other sweeteners, I do not believe...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0506
      • Organization:
      • Submitter Name:
      • We must not allow aspartame to now be hidden in the dairy products that most pregnant women crave. There is good reason to believe that the methanol from aspartame in diet...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0505
      • Organization:
      • Submitter Name:
      • 1. The proposed amendment would NOT promote honesty and fair dealing, if the nutrient content claim is not noted. The label should clearly state that a sugar substitute is in...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0504
      • Organization:
      • Submitter Name:
      • Labels should contain every ingredient within the product. The fact that interested agencies should be pursuing the elimination of any ingredient from the label should be...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0503
      • Organization:
      • Submitter Name:
      • Many of my customers and I myself do not wish to consume aspartame in our milk. If added, it MUST be labelled, especially as some people suffer digestive ailments when they consume...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0502
      • Organization:
      • Submitter Name:
      • Please protect our food supply and at a minimum require proper labeling on our food so we can make informed choices! We do not need aspartame nor other chemicals in our food!

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0501
      • Organization:
      • Submitter Name:
      • The public interest is not served by allowing additives that have health or other effects, whether benefits or problems, by the reduced transparency that would occur if this...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0500
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s) We must not allow aspartame to now be hidden in the dairy products that most pregnant women crave. There is good reason to believe that the methanol from...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0499
      • Organization:
      • Submitter Name:
      • Good afternoon, I appreciate you taking the time to read these comments. My family has raised cattle in Tennessee for both milk and beef. We took pride in the milk we once...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0498
      • Organization:
      • Submitter Name:
      • All ingredients should be listed on the label of food products. Period. It is inexcusable to disguise the true nature of our food for profit or convenience, especially when the...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0497
      • Organization:
      • Submitter Name:
      • Every consumer has the right to know what is in every product, no matter how minute the substance: artificial sweeteners notwithstanding. We oppose the inclusion of any additive to...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0496
      • Organization:
      • Submitter Name:
      • This petition should be rejected on the grounds that 1: people have a right to know what they are choosing when they purchase food 2: while aspartame is GRAS- many individuals do...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0495
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0494
      • Organization:
      • Submitter Name:
      • Please do not allow unlabeled additives in milk. I don't want sugar in my milk, and as a mother, unlabeled aspartame would make it more difficult for me to provide healthy choices...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0493
      • Organization:
      • Submitter Name:
      • I oppose the petition. It is the FDAs job to make sure that what we are putting in our bodies is what is indicated on the ingredients list, period. I have the right to know what is...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0492
      • Organization:
      • Submitter Name:
      • Consumer's are losing confidence in our food supply, food processing, and safety regulations. This change would negatively impact the health of a significant population, and I...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0491
      • Organization:
      • Submitter Name:
      • At a time when body composition is at an all-time low in the United States, the last thing we need to do is feed people more ingredients than necessary. If we do choose to use...

      • Public Submission
      • Posted:

        11/25/2015

      • ID:
        FDA-2009-P-0147-0490
      • Organization:
      • Submitter Name:
      • Any additives to our food should absolutely be required to be shown on the label!! Even for the simple fact of allergies. I know that I have a sensitivity to Aspartame, if that was...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0489
      • Organization:
      • Submitter Name:
      • The addition of aspartame as an artificial sweetener changes the standard of identity of "milk" and therefore requires labeling to identify said change.The reduced sales argument...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0488
      • Organization:
      • Submitter Name:
      • Consumers should be able to read EVERY ingredient in every product they purchase for consumption. Nothing should go unlabeled for any reason.

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0487
      • Organization:
      • Submitter Name:
      • I understand the FDA's prior precedent on Food Additives and the regulation and policy statements in regards to deciding whether or not a something is a Food Additive. Today I do...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0486
      • Organization:
      • Submitter Name:
      • I am a graduate student at Johns Hopkins. I believe that you should be able to add "additives" to milk only if clearly labeled. Each ingredient should be clearly labeled because...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0485
      • Organization:
      • Submitter Name:
      • Many people are medically sensitive to both aspartame and sucralose. By allowing manufacturers to hide the presence of these substances in dairy products you take the freedom to...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0484
      • Organization:
      • Submitter Name:
      • I am deeply disturbed at the proposed inclusion of aspartame and other sweetners to milk products that would not require labeling. I know of several clients who have severe...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0483
      • Organization:
      • Submitter Name:
      • Having been in family practice for 35 years, counseling patients on a daily basis on how to eat healthier for prevention and treatment of diseases, I have experienced the...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0482
      • Organization:
      • Submitter Name:
      • The FDA should recognize the basic principle of democracy that individual people have a right to choose both important and unimportant things in their lives. The FDA's primary...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0481
      • Organization:
      • Submitter Name:
      • 1. The proposed amendment would NOT promote honesty and fair dealing, if the nutrient content claim is not noted. The label should clearly state that a sugar substitute is in...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0480
      • Organization:
      • Submitter Name:
      undefined
      • NACCHO does not support the Citizen Petition filed by the IDFA and the NMPF (Docket No. FDA-2009-P-0147). The petition, if granted, would allow the use of non-caloric sweeteners in...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0479
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0478
      • Organization:
      • Submitter Name:
      undefined
      • School Food FOCUS (FOCUS) opposes the referenced petition for the following reasons. The attached letter has more detail. In 2009, FOCUS successfully worked with the milk vendor...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0477
      • Organization:
      • Submitter Name:
      • Children should know (without searching the fine print) what they are putting in their bodies/mouths. As an educator, I try to teach kids to read labels. Consumers should greet all...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0476
      • Organization:
      • Submitter Name:
      • Consumers and retailers of all food products in/of the US are entitled to be informed ON EVERY LABEL, of ALL INGREDIENTS used in making every ingestible food product. This is the...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0475
      • Organization:
      • Submitter Name:
      • As a pediatrician I urge you to require labelling of all additives on these products. Every parent I shared this petition with was clear that they expect food labels to be complete...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0474
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0473
      • Organization:
      • Submitter Name:
      • Transparency is essential to improve food labeling and improve public health. Children should not be drinking sweetened beverages, whether caloric or non-caloric sweeteners are...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0472
      • Organization:
      • Submitter Name:
      undefined
      • Do not approve the Petition to Amend the Standard of Identity for Milk. 1. The proposed guidelines do not promote fairness in the interest of consumers. The petitioners claim...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0471
      • Organization:
      • Submitter Name:
      • Do you really think it is a good idea to promote artificial sweeteners for small children. The research does not study kids that started drinking artificial sweeteners at 6 years...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0470
      • Organization:
      • Submitter Name:
      • If you were to allow for what amounts to hidden labeling you would be producing a dangerous threat to the health and well-being of our citizens. Milk should only be defined as...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0469
      • Organization:
      • Submitter Name:
      • I am opposed to the addition of any sweeteners to milk. If they are to be allowed, the product container should clearly and boldly indicate their presence. In a time when...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0468
      • Organization:
      • Submitter Name:
      • My name is Dr. Abraham Hafiz Rodriguez (M.D.), and I am a physician at the University of Illinois College of Medicine. I strongly oppose the addition of Aspartame to milk...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0467
      • Organization:
      • Submitter Name:
      • Nothing should be added to a food product without being clearly labeled. As a Registered Nurse, I have seen far too many allergenic effects from food and chemicals. Would you feed...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0466
      • Organization:
      • Submitter Name:
      • Aspartame has been shown to cause cancer and neurological disorders. As a Research Scientist for the state of California I cannot let this window of opportunity pass without...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0465
      • Organization:
      • Submitter Name:
      • To Whom It May Concern: As a registered dietitian and pediatric nutritionist in clinical practice for 29 years, and the grandson of a former dairy farmer, I support allowing safe...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0464
      • Organization:
      • Submitter Name:
      undefined
      • Some individuals experience negative health effects from certain food additives, including aspartame. More importantly, recent research has renewed concerns about a link between...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0463
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0462
      • Organization:
      • Submitter Name:
      • Numerous studies have shown harmful effects from artificial sweeteners, such as cancer and inflammatory diseases. These deleterious substances should not be allowed to contaminate...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0461
      • Organization:
      • Submitter Name:
      • I am agianst the government being allowed to put artificial sugars in our milk and dairy products. Us people have a right to know what is going into our foods. Artificial sugars...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0460
      • Organization:
      • Submitter Name:
      • I do not think the goverment should put toxins into our milk or dairy products. Whats the use for all of that nonsense if we are trying to promote being healthy to the kids and...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0459
      • Organization:
      • Submitter Name:
      undefined
      • Please see the attached document. Thank you.

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0458
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0457
      • Organization:
      • Submitter Name:
      • Consumers need to be able to identify products with non-nutritive sweeteners EASILY. Not everyone has time to read the ingredient list on every product that they purchase and...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0456
      • Organization:
      • Submitter Name:
      • These comments are not the opinion of my organization, rather my personal opinions based on my professional experience as a registered dietitian, and certified diabetes educator...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0455
      • Organization:
      • Submitter Name:
      • 1. No, just putting "reduced calorie" on the front does not provide sufficient evidence as to what is changed from one type of drink to another. The front label should say...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0454
      • Organization:
      • Submitter Name:
      • I urge the panel not to allow this proposed rule to pass. 1) Changing the standard of identity (SI) for a class of foods for the convenience of an industry will not ensure the...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0453
      • Organization:
      • Submitter Name:
      • Anything to be consumed by a human being, or an animal, or put on a plant needs full disclosure on the label. The primary reason is to give the customer the knowledge necessary to...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0452
      • Organization:
      • Submitter Name:
      undefined
      • See attached

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0451
      • Organization:
      • Submitter Name:
      • I do not agree to remove descriptive phrase indicating the chocolate milk with non-nutritive sweetener is reduced in calories. It is not necessary that those exact words are used...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0450
      • Organization:
      • Submitter Name:
      • Milk with artificial sweeteners should be clearly labeled as so; it needs to be easily distinguishable from milk that does not contain artificial sweeteners. To not clearly label...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0449
      • Organization:
      • Submitter Name:
      • I would like to let all my congressmen and women know that I am a registered dietitian practicing in California. I have an ethical dilema: Nutrasweet breaks down to Formaldehyde...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0448
      • Organization:
      • Submitter Name:
      • All food, including milk, needs to be labeled with All of the ingredients listed on the label. People may have allergies to some ingredients. Os if there is a choice I would direct...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0447
      • Organization:
      • Submitter Name:
      • All ingredients should be listed on the food label. It is unethical to include artificial sweeteners in any product without letting the consumer know that it is there. We...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0446
      • Organization:
      • Submitter Name:
      • This comment is in regards to Docket No. FDA-2009-P-0147. I am against removing the wording that indicates possible use of artificial sweeteners on the outside of the milk or...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0445
      • Organization:
      • Submitter Name:
      • As an RD and nutrition consultant for a number of school districts in Minnesota, I would like to voice my professional opinion in OPPOSITION to the proposed amendment to change the...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0444
      • Organization:
      • Submitter Name:
      • Please Label all Advertising on the front as well as back. Children do not read the front labels,the parents do and they do the buying,not the children. The parents need to see the...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0443
      • Organization:
      • Submitter Name:
      • As a health care professional I could not be more saddened by the news that this Petition is even a possibility. Allowing milk producers to put Aspartame into Milk without...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0442
      • Organization:
      • Submitter Name:
      • To Whom It May Concern, Label standards that include the 'reduced calorie' label will help consumers, both parents and children, to identify differences across mik products...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0441
      • Organization:
      • Submitter Name:
      • As a mother and a health educator, the idea of making it difficult to determine from the front of a carton of milk whether or not it is artificially sweeten is ridiculous. I want...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0440
      • Organization:
      • Submitter Name:
      • As an RN, I believe the label should have "reduced calorie" due to the fact that sucralose is NOT a naturally substance.

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0439
      • Organization:
      • Submitter Name:
      • I feel that this petition should be approved. Ingredients listed on the label should be the only essential burden for manufacturers, and front label claims should be more...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0438
      • Organization:
      • Submitter Name:
      • I believe the labeling of dairy products should remain as it is and has been for transparency purposes. I think if the FDA grants this petition it will begin the confusing food...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0437
      • Organization:
      • Submitter Name:
      • I really don't believe that children would be turned off by the words "Reduced Calorie". They pay more attention to the colors on the packaging than the wording. Also, milk with...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0436
      • Organization:
      • Submitter Name:
      • As a health professional (registered nurse and diabetes educator) I work with many people who have difficulty understanding labeling. I believe consumers need the truthful facts...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0435
      • Organization:
      • Submitter Name:
      • As Nutrition Education Coordinator for a WIC Program that serves over 6000 individuals, I am concerned that a proposed change in dairy product labels will lead to increased...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0434
      • Organization:
      • Submitter Name:
      • I do not support changing the labeling for milk. I believe simplifying the front of the package will make it harder for people who want to know what is in their food/drinks. This...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0433
      • Organization:
      • Submitter Name:
      • There is a need for this labeling because most people do not take the time to read the ingredients list. Also, most children drink whatever is offered to them; they do not read...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0432
      • Organization:
      • Submitter Name:
      • I do not support the changes. Even though artificial sweeteners would still be listed under the ingredients, many consumers do not read the ingredients. For children, the...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0431
      • Organization:
      • Submitter Name:
      • I think the label for chocolate milk with a non-nutritive sweetener should say "No sugar added" and then the particular sweetener would be listed in the ingredients.

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0430
      • Organization:
      • Submitter Name:
      undefined
      • Earlier today I submitted a letter signed by 29 leading food/health organizations and experts in opposition to this citizen petition. I inadvertently neglected to add one of the...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0429
      • Organization:
      • Submitter Name:
      undefined
      • Please see the attached comment. Thank you very much for your consideration.

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0428
      • Organization:
      • Submitter Name:
      • It seems quite obvious that this proposed change should be rejected. "Milk," as the term is typically understood, does not include aspartame or any other "sweetener" since...

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0427
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0426
      • Organization:
      • Submitter Name:
      undefined
      • See attached file(s)

      • Public Submission
      • Posted:

        11/24/2015

      • ID:
        FDA-2009-P-0147-0425
      • Organization:
      • Submitter Name:
      • This petition is asking the government to change its definition of milk from a liquid secreted by mammals full of protein and nutrients for its young to a liquid secreted by...

      • Public Submission
      • Posted:

        06/16/2015

      • ID:
        FDA-2009-P-0147-0424
      • Organization:
      • Submitter Name:
      • I do not agree that any "safe and suitable sweetener as an optional ingredient" should be allowed to be added to milk. While ingredients such as sucrolose maybe be GRAS- there in...

      • Public Submission
      • Posted:

        11/04/2014

      • ID:
        FDA-2009-P-0147-0423
      • Organization:
      • Submitter Name:
      • Northeast Dairy Foods Association, Inc. is a full service trade association representing 120 dairy product processors, manufacturers and distributors in 8 northeast states since...

      • Public Submission
      • Posted:

        11/04/2014

      • ID:
        FDA-2009-P-0147-0422
      • Organization:
      • Submitter Name:
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