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Policy placement affects awareness
Irradiation has not yet gained recognition as a food
security and food policy issue, as distinct from a food
safety and health, issue. Therefore, most governments,
including the United Nations, oversee food irradiation
in health departments, not food departments. As a result,
food irradiation has not been raised in significant
international food documents, despite its relevance
for food security and food policy generally.
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In a move that has significant consequences for global food policy,
the Canadian government is set to follow the U.S. in extending the
range of foods that can be sterilized by nuclear irradiation.
Health Canada will be giving thumbs up to irradiation of beef,
poultry, prawns, shrimp and papaya. The go-ahead won’t just
expand the list of foods that can be irradiated. It expands the
functions of irradiation and allows much higher levels of irradiation.
Those who suspect that public policy can be best understood by
following the money will wonder why shrimp, prawns and papaya got
put on a nuclear hit list alongside chicken and beef. In 1987, as
part of the federal government’s many hand-outs to the nuclear
industry, Canada’s foreign aid department gave Thailand a
$4.8 million food irradiator. In case the Thais feared Canadians,
even bearing nuclear gifts, Canada promised to open its markets
to irradiated imports from Thailand.
Rolling out an irradiated carpet for Thai food imports indicates
how far we’ve come from the days when long distance food referred
to imports into Canada from California, Florida and Mexico. The
next generation of food imports into the industrialized western
world will be coming from the tropical South, mostly countries where
the mass of people go hungry so that low-cost exotic foods can be
exported to the wealthy North. With irradiation to clear the way
for long shelf life, this hot new trend just got hotter.
It’s out-of-this-world food technology applied to a global
food system that has lost any sense of homegrown food, and that
will accept any tool of mass production that can keep down the prices
of what were once rare and special imported treats by keeping up
the volume and scale of commodity exports.
Traditionally, food irradiation was positioned as a food safety
issue, which is why it has been assigned to health departments of
individual countries and to the World Health Organization of the
United Nations. Over the years, irradiation has gained supporters
in many respected health organizations, as well as from the nuclear
industry, and more recently, lobby groups representing the food
industry. Indeed, Ronald Eustice, executive director of the Minnesota
Beef Council, came to one of Health Canada’s eight wintertime
public hearings to describe irradiation as “the fourth pillar
of public health,” that will soon rank alongside immunization,
pasteurization and chlorination as a standard, presumably compulsory,
public health service.
On the anti-side are a range of Canadian environmental and organic
activists, U.S. public interest groups, and scientists from senior
research organizations in France and Germany, reports from which
led the European parliament to give the kybosh to further food irradiation.
The experts on both sides usually debate whether radiation depletes
too many vitamins from food, whether the burn from radiation creates
Unique Radiolytic Products that cause cancer, and whether radiation
kills off good bacteria that keep some food-borne diseases such
as botulism in check.
All are issues worthy of public debate. None, however, require
much serious research by health regulators, because irradiation
has been arbitrarily defined as a “process” rather than
an “additive.” That means that Unique Radiolytic Products,
sheer creations of irradiation, don’t have to be assessed.
But even leaving aside such traditional food safety issues, food
irradiation violates at least three basic principles of public health
and food security.
1. The internationally-recognized Ottawa Health Charter, proclaimed
in 1986, identifies “enablement”—providing citizens
with participatory tools and information to empower them and to
assist them in making wise health choices—as a keystone principle.
The time, 120 days, which Health Canada provided for public discussion
of its impending decision, does not support citizen participation
or empowerment; quite the contrary.
Nor do the labelling provisions being considered by Health Canada,
almost identical to those in the U.S., support the power of health-minded
citizens to make informed personal choices. Irradiated food served
by restaurants or school cafeterias, along with irradiated ingredients
included in most processed foods, will not be labelled.
2. The internationally-recognized precautionary principle is embedded
in Canadian law and public health practice as a result of the Supreme
Court decision in 2001 granting municipalities the right to ban
the use of cosmetic pesticides. A decision to proceed with food
irradiation violates two elements of the precautionary principle.
“Better safe than sorry” expresses one element of
the precautionary principle. When scientific opinion is divided
over the safety of food irradiation, particularly as regards the
damaging bio-chemical results (the creation of Unique Radiolytic
Products, for instance) from irradiation, and the depletion of nutrients
by irradiation, then the wise course is to postpone a decision until
such important scientific controversies can be resolved.
A second element of the precautionary principle was expressed by
senior scientists and science philosophers involved in the Royal
Society report on genetic engineering, commissioned by the federal
government in 2000. This report drew public and professional attention
to the precautionary principle’s all-important role in preventing
“type two” errors, mistakes that arise from a failure
to anticipate “unintended consequences.”
The possibility of such errors has not received serious consideration
by Health Canada. There are a wide variety of scenarios that need
to be considered. What will happen when the high costs of irradiation
equipment encourage the trend toward large, centralized slaughterhouses
and meat processing plants? This will have negative consequences
for family farmers and other small-scale livestock producers, and
thereby eliminate sources of local food in many areas of the country;
that wouldn’t improve food access or food security. What if
the large and centralized meat processing plants create tiny overlooked
niches in which certain food-borne diseases can fester, possibly
contaminating millions of pounds of meat? We already know this is
not a “what if.” Such outbreaks have happened many times
before, and seem to be inevitable in the nooks and crannies of super-sized
processing plants. By provoking large-scale and centralized facilities
through its support for expensive irradiation procedures, the government
may actually be creating conditions for reduced safety of the meat
supply.
Almost impossible to believe, health regulators do not seem to
be considering the potentially catastrophic health hazards associated
with the proliferation of nuclear facilities that supply irradiation
services. In this post-9/11 era, has anyone wondered whether meatpacking
plants with nuclear fuels have the ability to deny access to criminals
or terrorists? Instead of taking such possibilities into account—so
urgently needed when dealing with inherently dangerous and unforgiving
nuclear technologies—Health Canada’s review focussed
narrowly on questions of food safety instead of public safety. It’s
precisely this kind of narrow focus that creates conditions for
“type two” errors.
3. A decision to proceed with food irradiation also violates the
longstanding principle of “do no harm,” first enunciated
by Hippocrates, commonly thought to be the founder of western medicine.
The “do no harm” principle requires that health authorities
move toward invasive procedures—and irradiation certainly
constitutes an invasive procedure—only after every consideration
has been given to less invasive and dangerous options. This principle
is embedded in federal environmental assessments, which require
that due consideration be paid to the viability of safe alternatives
prior to approval of hazardous innovations.
If a “do no harm” methodology had been adopted in the
review of food irradiation, due attention would have been paid to
the many superior strategies that protect against food-borne disease.
Proper feeding and handling of livestock prior to slaughter are
known to reduce the incidence of e coli at slaughterhouses, for
instance. There’s no substitute, including irradiation, for
strict supervision and regulation of butchering and meat processing
operations. Food handling is the weak link in the food-borne disease
chain, as evidenced by the fact that produce, prepared salads and
mixed preparations—not, as is commonly thought, meats—are
the most likely sources of food-borne disease. Finally, there is
no substitute for proper food preparation and cooking methods; this,
much more than packing plants and warehouses where irradiation facilities
will locate, is where effective disease prevention strategies need
to be directed. That’s also where disease prevention strategies
are low-cost, non-invasive and perfectly safe.
There’s little, in short, to recommend food irradiation,
and many reasons to oppose it. Several of the reasons for opposing
irradiation are relatively long-established—the general dangers
of nuclear technologies, as well as the specific dangers of nutrient
depletion and Unique Radiolytic Products, for example.
But a new set of reasons for opposing irradiation is also emerging.
These reasons relate to the impact of irradiation on food systems—intensifying
pressures against family-scale farming and community-based processing
in industrialized countries, and intensifying pressures against
self-reliant, domestically-oriented agriculture in the developing
world, for example. For these reasons, food irradiation is no longer
just an issue of food safety or nuclear safety. It is now an issue
of food security.
(This article has been adapted from an article by the author
in NOW Magazine, March 20, 2003, and from a brief submitted to Health
Canada by the author on behalf of the Toronto Food Policy Council.)
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