See attached file with the NAM's comments urging the FDA to revise the Prioritization Tool to be more firmly grounded in established principles of toxicology and risk assessment, with a primary focus on scientific evidence. The role of subjective, non-scientific factors should be eliminated from the scoring or clearly and separately delineated.
FDANonrulemakingFDA-2025-N-1733
Tool for the Prioritization of Food Chemicals for Post-Market Assessment
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Aug 19, 2025
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National Association of Manufacturers (NAM) filings
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National Association of Manufacturers (NAM) filed 2 comments on this docket between Aug 19, 2025 and Aug 19, 2025. 32 other organizations filed here. The comment window closed 344d ago.
What National Association of Manufacturers (NAM) filed (2)
Aug 19, 2025· Comment from National Association of Manufacturers (NAM)· FDA-2025-N-1733-0084
Aug 19, 2025· Comment from National Association of Manufacturers (NAM)· FDA-2025-N-1733-0088
Attached are the National Association of Manufacturers' comments on the FDA's Proposed Method for Ranking Chemicals in Food for Post-market Assessments. We did not receive a comment tracking number, so I am resubmitting as a precaution.
Abstract
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View on regulations.gov →Co-filers (32)
See everyone who commented →- National Association of Manufacturers (NAM)THIS ORG2 filings · confidence 97%
- American Beverage Associationtrade assoc.1 filing · confidence 85%
- American Chemistry Counciltrade assoc.1 filing · confidence 97%
- American Frozen Food Institutetrade assoc.1 filing · confidence 97%
- American Herbal Products Associationtrade assoc.1 filing · confidence 85%
- American Soybean Associationtrade assoc.1 filing · confidence 97%
- Association for Sustainable Food Safetytrade assoc.1 filing · confidence 85%
- Calorie Control Counciltrade assoc.1 filing · confidence 85%
- Consumer Brands Associationtrade assoc.1 filing · confidence 85%
- Consumer Healthcare Products Associationtrade assoc.1 filing · confidence 97%
- Council for Responsible Nutritiontrade assoc.1 filing · confidence 85%
- Environmental Defense Fundtrade assoc.1 filing · confidence 97%
- Essential Minerals Associationtrade assoc.1 filing · confidence 85%
- Flavor and Extract Manufacturers Association of the United Statestrade assoc.1 filing · confidence 85%
- FMI - The Food Industry Associationtrade assoc.1 filing · confidence 85%
- Food Packaging Coalitiontrade assoc.1 filing · confidence 85%
- Food Packaging Forum Foundationtrade assoc.1 filing · confidence 85%
- Institute for Food Safety and Nutrition Securitytrade assoc.1 filing · confidence 85%
- Institute for the Advancement of Food & Nutrition Sciencestrade assoc.1 filing · confidence 85%
- Institute of Food Technologiststrade assoc.1 filing · confidence 85%
- International Association of Color Manufacturerstrade assoc.1 filing · confidence 85%
- International Dairy Foods Associationtrade assoc.1 filing · confidence 97%
- International Food Additives Council (IFAC)trade assoc.1 filing · confidence 85%
- International Fresh Produce Associationtrade assoc.1 filing · confidence 85%
- Major League Baseball and MLB Players Association Joint Registered Dietitian over Food and Supplement Safetytrade assoc.1 filing · confidence 85%
- Meat Institutetrade assoc.1 filing · confidence 85%
- National Confectioners Associationtrade assoc.1 filing · confidence 85%
- National Milk Producers Federationtrade assoc.1 filing · confidence 97%
- National Pork Producers Counciltrade assoc.1 filing · confidence 97%
- Sustainable Food Policy Alliancetrade assoc.1 filing · confidence 85%
- The Endocrine Societytrade assoc.1 filing · confidence 85%
- Undersigned members of the Food & Beverage Issue Alliancetrade assoc.1 filing · confidence 85%
- Western Growers Associationtrade assoc.1 filing · confidence 85%