Skip to main content

FSSAI 'refusing to empower' citizens to have their right to informed choice on GMO

Counterview Desk 

The advocacy group Coalition for a GM-Free India in response to Food Safety and Standards Authority of India's FSSAI’s) “weak forms” for licensing of GM foods, has insisted on the need to have “strong regulations to ensure safe food for citizens”.
Stating that this form is different from the FSSAI GM draft regulation which had come out recently for which it had shared its response, the NGO network said in letter to Pushp Vanam, joint director, Science and Standards, FSSAI, it is problematic that these forms were not shared at the same time as the GM regulation draft as it would have enabled more people who read and respond to it.

Text:

This is in regards to the notification from FSSAI asking for inputs on the forms. We find it problematic that these forms were not shared at the same time as the GM Regulation draft as it would have enabled more people who read and responded on the regulation draft to have been able to comment on the forms too. Our response to the draft regulation shared earlier is here.
The Coalition for a GM-Free India is a loose, informal network of scores of organizations and individuals from across India, campaigning and advocating to keep India GM-Free, and to shift our farming towards a sustainable path. Consisting of farmers’, consumers’, environmental, women’s and other organizations, this network is opposed to the environmental release of Genetically Modified Organisms (GMOs) given the potential adverse health and environmental impacts, in addition to the fact that GMOs also are taking away valuable research and other resources from more lasting solutions.
Given that GMOs and associated IPRs are used by corporations to control and expand their monopolistic markets, we are opposed to GMOs on those grounds too. The Coalition also looks at GM technology as an illustrative case for the need to democratize Science & Technology policy/decision-making, empowering individual citizens to have their right to informed choices.
Our comments on the forms are here below:

Form 1A 

a) Amend from “This form is applicable for food derived from genome edited plant off the SDN3 category.”
TO
“This form is applicable for food derived from all genome edited plants”.
b) Delete “Where a host other than the transgenic host is used to produce sufficient quantities of the newly expressed protein for toxicological analyses” and “of the non-plant expressed protein with the plant expressed protein” from 2.5 “Where a host other than the transgenic host is used to produce sufficient quantities of the newly expressed protein for toxicological analyses, demonstrate the structural, functional and biochemical equivalence of the non-plant expressed protein with the plant expressed protein.”
No definition for sufficient quantities is provided, nor can it be done so with certainty. Also there are cases where newly expressed protein are generated/introduced in an unintentional manner. In addition to individual protein, carbohydrate, fat, and other nutrient and non-nutrient small molecule (metabolite) checks are also important. We elaborate on the ways to check these in subsequent sections. Hence these must be checked in all conditions rather than only in a subset of cases.
c) Delete “that do not have a history of safe consumption” from
2.5 Potential toxicity assessment “Describe the safety studies undertaken to demonstrate lack of potential toxicity of any newly expressed proteins in the GMO that do not have a history of safe consumption”
AND
2.6 Potential allergenicity assessment question “Describe the safety studies undertaken to demonstrate lack of potential allergenicity of any newly expressed proteins in the GMO that do not have a history of safe consumption”.
It has been often seen in situations around the world that impact of newly expressed proteins which supposedly show a history of safe consumption that these have not been tested thoroughly. In many cases, tests have been of variable and even sub-standard quality.
Hence such historical studies must not be allowed to determine FSSAI’s process.
d) The following studies need to be added to the list of studies in form (rationale mentioned too):
1) Skin Irritation Test on animals (it was done for Bt brinjal)
2) Mucous Member Irritation test on animals (as it was done for Bt brinjal)
3) Sub-chronic oral toxicity (Form in 2.5 only refers to acute toxicity where even for Bt brinjal case subchronic oral toxicity studies were done)
4) Sub-chronic feeding studies (were done even for Bt brinjal)
5) Alkaloid tests (these were done for Bt brinjal too)
6) Chronic toxicity and carcinogenicity studies (including for physiology impacts, hepatic, pancreatic, renal, reproductive effects, haematological, biochemical, immunologic, testosterone, testicular parameters, organ weights) - need for long-term, multi-generational studies exists as many impacts show only over multiple generations rather than over subchronic studies. With the shorter lifespan of animals involved in testing, this is not too much to ask for too.
7) Chronic feeding studies - Long-term animal feeding studies are needed as they can detect adverse health effects of GMO diet which can take time to show up and are less likely to show up in sub-chronic feeding studies such as organ damage and cancer.
8) Comparative assessment growing the GM crop and its non-GM isogenic comparator side-by-side under the same conditions - it ensures that variations found in the GM crop are because of genetic modification and not from environmental factors such as different growing conditions.
9) Gut microbiome (including bacteria) tests - Rats fed GM potatoes in a study have shown excessive growth of gut lining similar to a precancerous condition; in another study rats fed GM rice have shown higher levels of coliform bacteria in their gut.
Impact of GM food is not only via the crops being genetically modified but also through the additional herbicides, a herbicide-tolerant crop is designed to use more herbicides. Studies have shown via analysis of organ histological structure and blood/urine biochemistry, the gene expression profile, severe liver damage resulting from long-term exposure to an ultra-low dose of Roundup. Hence the following must also be done:
10) Organ histological structure
11) Blood/urine biochemistry
12) Gene expression profile
To verify if plant’s biochemistry has been altered in unexpected ways ensuring that potentially dangerous functional and compositional changes have not taken place (including production of toxins or allergens, higher levels of existing toxins and allergens, or altered nutritional value) -
13) Transcriptomic analysis (gene expression patterns in the organs)
14) Metabolomics analysis (metabolites present in the organs)
15) Proteomic analysis (protein composition of organ)
It was in part due to below studies of glyphosate, a herbicide incentivised to be sprayed by many GM crops the World Health Organization’s International Agency for Research on Cancer (IARC) declared that glyphosate herbicide is a probable human carcinogen ; hence the following must also be tested.
16) Genotoxicity
17) Human epidemiological studies
18) Nutritional impact tests compared to non-GM isolines in side-by-side growing conditions - Experimental GM rice varieties had major unintended nutritional disturbances compared with non-GM isolines in past studies.
These are also important to be done as there have been numerous studies which have shown off-target, unintended impacts of genetic modification (including new generation genome editing techniques too).
e) Question to be added: Why does this GM food need to be produced or imported into India, what are the alternatives and what would be the potential consequences if not produced or imported.
Needs and alternatives need to be established keeping Precautionary Principle in mind.
f) Question to be added: Details of earlier import, if any (if imported)
(i) Whether the proposed GMOs/ LMOs were imported earlier: Yes/No If yes, provide the copy of relevant permits issued previously and quantities imported.
g) Question to be added: Quantity per year of the product to be imported (if imported):
(f) and (g) are important questions to be asked as many GM foods are being illegally imported currently, and in case of impact of GM food if found to have taken place in future - can have corresponding impact measured.
h) For 3.1, add transport, disposal and contingency procedures.
In case of a health emergency/impact if detected later, if these have to be recalled/destroyed.
i) Question to be added: Whether approved in country of origin and if approved, uses of the GMO (if certificate is issued by the concerned authority of country of origin, the certificate should be endorsed/ authenticated by Indian Embassy/High Commission/Consulate in that country/Embassy of the country of origin in India)
As in some host countries, GM food is not allowed however there is export of GMO to other countries.
j) Question to be added:
(i) Port of Loading/Shipment.
(ii) Port of Discharge in India.

Form IB

a) Add enzymes and processing aids to scope too.
b) In addition to Section 3, 2. List of countries where ingredient/additive derived from GMM is approved for food use ; should also add a question - List of countries where ingredient/additive derived from GMM has had permission denied.
c) Question to be added: Why does this GM food need to be produced or imported into India, what are the alternatives and what would be the potential consequence, if not produced or imported.
Needs and alternatives need to be established keeping Precautionary Principle in mind.
d) Question to be added: Details of earlier import, if imported and if any
(i) Whether the proposed GMOs/ LMOs were imported earlier: Yes No If yes, provide the copy of relevant permits issued previously and quantities imported.
(ii) Statement of utilisation on the earlier GMOs/LMOs and products thereof imported:
e) Question to be added: Quantity per year of the product to be imported (if imported):
(d) and (e) are important questions to be asked as many GM foods are being illegally imported currently, and in case of impact of GM food if found to have taken place in future - can have corresponding impact measured.
f) Add a Declaration: I declare that the information provided in the above format is correct and accurate to the best of my knowledge and that the above-mentioned food does not contain GMOs in the end product.
g) Question to be added: Why does this GM food need to be produced or imported into India, what are the alternatives and what would be the potential consequences, if not produced or imported.
Needs and alternatives need to be established keeping Precautionary Principle in mind.
h) Question to be added: Details of earlier import, if any (if imported)
(i) Whether the proposed food was imported earlier: Yes/No If yes, provide the copy of relevant permit issued previously and quantities imported.
i) Question to be added: Quantity per year of the product to be imported (if imported):
(h) and (i) are important questions to be asked as many GM foods are being illegally imported currently, and in case of impact of GM food if found to have taken place in future - can have corresponding impact measured.
j) Question to be added “Add transport, disposal and contingency procedures”.
In case of a health emergency/impact if detected later, if these have to be recalled/destroyed.
k) Question to be added: Whether approved in country of origin and if approved, uses of the GMO (if certificate is issued by the concerned authority of country of origin, the certificate should be endorsed/ authenticated by Indian Embassy/High Commission/Consulate in that country/Embassy of the country of origin in India)
As in some host countries, GM food is not allowed, however there is export of GMO to other countries.
l) Question to be added
(i) Port of Loading/Shipment:
(ii) Port of Discharge in India:
In all the forms, the applicant/importer must be mandated to share updated information in the forms as and when newer information is available with the applicant/importer.

Comments

TRENDING

From algorithms to exploitation: New report exposes plight of India's gig workers

By Jag Jivan   The recent report, "State of Finance in India Report 2024-25," released by a coalition including the Centre for Financial Accountability, Focus on the Global South, and other organizations, paints a stark picture of India's burgeoning digital economy, particularly highlighting the exploitation faced by gig workers on platform-based services. 

'Condonation of war crimes against women and children’: IPSN on Trump’s Gaza Board

By A Representative   The India-Palestine Solidarity Network (IPSN) has strongly condemned the announcement of a proposed “Board of Peace” for Gaza and Palestine by former US President Donald J. Trump, calling it an initiative that “condones war crimes against children and women” and “rubs salt in Palestinian wounds.”

Gig workers hold online strike on republic day; nationwide protests planned on February 3

By A Representative   Gig and platform service workers across the country observed a nationwide online strike on Republic Day, responding to a call given by the Gig & Platform Service Workers Union (GIPSWU) to protest what it described as exploitation, insecurity and denial of basic worker rights in the platform economy. The union said women gig workers led the January 26 action by switching off their work apps as a mark of protest.

India’s road to sustainability: Why alternative fuels matter beyond electric vehicles

By Suyash Gupta*  India’s worsening air quality makes the shift towards clean mobility urgent. However, while electric vehicles (EVs) are central to India’s strategy, they alone cannot address the country’s diverse pollution and energy challenges.

Jayanthi Natarajan "never stood by tribals' rights" in MNC Vedanta's move to mine Niyamigiri Hills in Odisha

By A Representative The Odisha Chapter of the Campaign for Survival and Dignity (CSD), which played a vital role in the struggle for the enactment of historic Forest Rights Act, 2006 has blamed former Union environment minister Jaynaynthi Natarjan for failing to play any vital role to defend the tribals' rights in the forest areas during her tenure under the former UPA government. Countering her recent statement that she rejected environmental clearance to Vendanta, the top UK-based NMC, despite tremendous pressure from her colleagues in Cabinet and huge criticism from industry, and the claim that her decision was “upheld by the Supreme Court”, the CSD said this is simply not true, and actually she "disrespected" FRA.

Stands 'exposed': Cavalier attitude towards rushed construction of Char Dham project

By Bharat Dogra*  The nation heaved a big sigh of relief when the 41 workers trapped in the under-construction Silkyara-Barkot tunnel (Uttarkashi district of Uttarakhand) were finally rescued on November 28 after a 17-day rescue effort. All those involved in the rescue effort deserve a big thanks of the entire country. The government deserves appreciation for providing all-round support.

Whither space for the marginalised in Kerala's privately-driven townships after landslides?

By Ipshita Basu, Sudheesh R.C.  In the early hours of July 30 2024, a landslide in the Wayanad district of Kerala state, India, killed 400 people. The Punjirimattom, Mundakkai, Vellarimala and Chooralmala villages in the Western Ghats mountain range turned into a dystopian rubble of uprooted trees and debris.

Over 40% of gig workers earn below ₹15,000 a month: Economic Survey

By A Representative   The Finance Minister, Nirmala Sitharaman, while reviewing the Economic Survey in Parliament on Tuesday, highlighted the rapid growth of gig and platform workers in India. According to the Survey, the number of gig workers has increased from 7.7 million to around 12 million, marking a growth of about 55 percent. Their share in the overall workforce is projected to rise from 2 percent to 6.7 percent, with gig workers expected to contribute approximately ₹2.35 lakh crore to the GDP by 2030. The Survey also noted that over 40 percent of gig workers earn less than ₹15,000 per month.

Fragmented opposition and identity politics shaping Tamil Nadu’s 2026 election battle

By Syed Ali Mujtaba*  Tamil Nadu is set to go to the polls in April 2026, and the political battle lines are beginning to take shape. Prime Minister Narendra Modi’s visit to the state on January 23, 2026, marked the formal launch of the Bharatiya Janata Party’s campaign against the ruling Dravida Munnetra Kazhagam (DMK). Addressing multiple public meetings, the Prime Minister accused the DMK government of corruption, criminality, and dynastic politics, and called for Tamil Nadu to be “freed from DMK’s chains.” PM Modi alleged that the DMK had turned Tamil Nadu into a drug-ridden state and betrayed public trust by governing through what he described as “Corruption, Mafia and Crime,” derisively terming it “CMC rule.” He claimed that despite making numerous promises, the DMK had failed to deliver meaningful development. He also targeted what he described as the party’s dynastic character, arguing that the government functioned primarily for the benefit of a single family a...