No Objection Letter for Recycled Plastics #134
Return to inventory: Submissions on Post-Consumer Recycled (PCR) Plastics for Food-Contact Articles
See also Recycled Plastics in Food Packaging
February 16, 2010
Frank Welle, Ph.D.
Verfahrenstechnik und Verpackung
Giggenhauser Str. 35
Re: Prenotification Consultation (PNC) 870
Dear Dr. Welle:
This letter is in response to your electronic submission, received on December 17, 2009 (PNC 870), requesting on behalf of Starlinger & Co. GmbH (Starlinger) an opinion letter from FDA confirming the capability of Starlinger's secondary recycling process (a so-called "super clean" process) (referred to as "“|||||||||||||||||") to produce post-consumer recycled polyethylene terephthalate (PCR-PET) flakes that are suitable for use at levels up to 100% recycled content in the manufacture of PET containers for contact with all food types under cold-fill and hot-fill conditions, i.e., under Conditions of Use C through G, as described in Table 2, which can be accessed from the Internet in the Ingredients and Packaging section under the Food topic of www.fda.gov.
We have reviewed Starlinger's recycling process as well as the information obtained from surrogate testing and migration modeling which were submitted to demonstrate the capability of the Starlinger's secondary recycling process to remove potential contaminants from PCR-PET. Based on our review of these data, we have determined that Starlinger's secondary recycling process, as described in the subject submission, would be effective in reducing potential contaminants from PCR-PET to levels that result in dietary concentrations not to exceed 0.5 ppb, FDA's threshold of regulatory concern. This determination covers the use of PCR-PET derived from the feedstock that consists of post-consumer food and non-food PET containers (excluding industrial PET containers), and the PCR-PET complies with the existing applicable authorizations.
We have concluded that Starlinger's secondary recycling process, as described in the subject submission, would produce PCR-PET flakes that are suitable for use at levels up to 100% recycled content in the manufacture of articles for contact with all food types under cold-fill and hot-fill conditions, i.e., under Conditions of Use C through G, as described in Table 2, which can be accessed from the Internet in the Ingredients and Packaging section under the Food topic of www.fda.gov. If Starlinger's recycling process is modified, new data may need to be evaluated.
The resultant PCR-PET material must comply with all applicable authorizations including 21 CFR § 174.5 General provisions applicable to indirect food additives. For example, in accordance with section 402(a)(3) of the Federal Food, Drug and Cosmetic Act, use of the PCR-PET should not impart odor or taste to food rendering it unfit for human consumption.
If you have any further questions concerning this matter, please do not hesitate to contact us.
Vanee Komolprasert, Ph.D., P.E.
Consumer Safety Officer
Division of Food Contact Notifications, HFS-275
Office of Food Additive Safety
Center for Food Safety and Applied Nutrition