Food Safety Regulatory Compliance in India: A Challenge To Enhance Agri-Businesses
Food Safety Regulatory Compliance in India: A Challenge To Enhance Agri-Businesses
     The present paper is an attempt to understand the level of food safety regulations in food businesses and
     its compliance in India to assess the prospects of food businesses under the surveillance of Indias new
     Food Safety and Standards Act, 2006. The study finds that in the second quarter of 2006, the country had
     witnessed a new initiative of enactment of the latest Act, the Food Safety and Standards Act, 2006 (No.
     34 of 2006), under the Ministry of Health and Family Welfare that integrates the existing eight of the food
     laws. It brings about one statute under a single apex regulatory authority known as Food Safety and
     Standards Authority of India (FSSAI). The study also highlights that food safety law is poorly
     implemented in the country specially in case of marketing of fruits and vegetables. The availability of
     modern infrastructure like scientific ripening chambers for fruits and vegetables has not been provided by
     the local Government even in modern markets. The lack of scientific ripening chambers to meet
     international safety standards in the modern market clearly indicates that even in the modern markets of
     India food safety issues appears to be neglected. It is suggested that there is a strong need to have (i)
     Special budget for building soft and hard infrastructure; (ii) Attract more Private-Public-People
     partnership to undertake awareness programmes, sensitisation and capacity building on risk
     communication in both perishables and non-perishables food items; (iii) Set up accredited network of
     laboratories with skilled manpower to conduct scientific testing for the primary perishable agricultural
     commodities; (iv) APMCs to ensure a premium payment for better quality graded produce to the farmers
     as an incentive to follow and innovate more of the food safety norms, while providing modern
     infrastructural facilities to both traders and farmers; and (v) Explore innovative models of management,
     for instance, the state government may consider pilot project to lease out the regulated market to private
     agri-businesses. The regulatory authorities in turn assume an advisory and regulatory role to make sure
     that safety norms in that market are as per the law and provide supporting infrastructure. Build
     Consumers Trust by (vi) Gradually introducing city-based scheme to restrict sale of lose food items; (vii)
     Sensitize public about food-safety risks and possible way out for prevention by involvement of consumer
     organisations; (viii) Mandatory record keeping by implementation authorities for monitoring,
     effectiveness of law enforcement and food surveillance activities; and (ix) Encourage prescriptive based
     sale of controlled chemicals at registered places; (x) Set-up an exclusive committee to frame a set of good
     and hygienic practices for all activities undertaken in market of fruits and vegetables; (xi) Train and
     educate farmers on personal hygiene along with safe application of pesticides and efficient spray
     technology as an attempt to prevent contamination in fields; (xii) Integrate small farm owners and traders
     in India into food safety and quality networks by establishing more number of supermarkets that may help
     both managing traceability issue; and (xiii) Generating awareness through learning-by-doing process. The
     suggestions offered above, if implemented, would lead to fostering agri-business both in the domestic and
     international markets.
     Keywords: Food business, food safety measures, health hazards
     JEL Classification: Q13, Q17, O19
 *Director, National Institute of Agricultural Marketing, Ministry of Agriculture, Government of India, Jaipur-
302 033 (Rajasthan) and Research Scholar, Institute of Development Policy and Management, University of
Manchester, U.K.
432                  INDIAN JOURNAL OF AGRICULTURAL ECONOMICS
INTRODUCTION
     Since the end of 1990s, Indias economy has grown impressively. It is largely
accepted that growth took off mainly due to gradual structural transformation of the
Indias regulated economy in the post-reform period. While there was a clear change
in economic policy towards delicensing and deregulations in the industrial sector,
agricultural policy by contrast lacked direction and was marked with confusion
(Chand, 2005). Agriculture in India has therefore faced adverse trade environment
after the liberalisation process. Today, most of the growth in the economy accounts
from services and manufacturing sectors and agriculture is lagging behind. Thus,
policy attention is now focusing back on agriculture out of concern about how to
improve the agricultural performance, food security and its role in economic
development. There is a lot of debate and pressure on undertaking institutional
reforms for sustainable agricultural development and poverty alleviation. Much of the
emphasis in this regard rests on ways to enhance the level of agribusiness to improve
the conditions of Indian agriculture. More recently, with increasing
commercialisation of agriculture and integration of domestic markets into global food
and agribusiness system, the issue of food safety regulations in the country is
becoming a matter of public debate. On one side, India is one of the worlds largest
producers as well as consumer of food products that has huge potential to
contributing to not just the development of its economy but to the development of the
global economy. On the other hand, Indias capability to supply safe food to regain
its growth in agriculture is an important concern.
     Internationally, Indias presence in the global market in terms of both raw
agricultural produce and processed products is growing. Although India attempts to
meet food hygiene regulations within the border for the export products, a level of
uncertainty and fear of rejection of export consignment at the international border
exists as there is a lack of harmonisation of food standard regulations between India
and the global world. Nationally, it is no more in Indias favour to continue
production and supply of food which is poor in quality in the disguise of small
producers set of conditions. Nor can it afford to argue within the country boundaries
that the purpose of producing food is to achieve minimum food objective of feeding
its billion people population. The nutrition and safe food objective is equally
important because unsafe food is making people ill which deepens the burden of
poverty (Narain, 2013).
     Globally, food needs has gone beyond merely supplying food, to safe to eat
(Prakash, 2013). Consumers expect that domestic and imported foods meet the basic
quality and safety standards and requirements related to food hygiene, labeling and
certification, use of food additives, limits for pesticide residues etc. Scientific
developments have allowed a better understanding of the nutritional qualities of foods
and their health implications. This has led consumers to become more discriminating
                    FOOD SAFETY REGULATORY COMPLIANCE IN INDIA                       433
    
in food matters and to demand protection from inferior quality and unsafe foods (UN-
ESCAP, 2008; FAO, 1999). Food safety is developing into one of the most urgent
issues that confront the international community due to increasing globalisation of
trade in food. While international regulations are available for almost all categories
of products, there are variations in regulations followed by individual member
nations, including India, as they are free to adopt, modify or have their own
regulations (Prakash, 2013). Consequently, it is not unusual that the apprehension
about the quality standards of food safety systems of both small and big developing
countries like India persist. They are considered not always as well organised and
developed as in the industrialised world. A food safety problem in one part of the
world, thus, could pose serious concerns for other parts also.
     At the same time, food safety in agriculture is becoming a prevalent concern for
the Indian agriculture due to the countrys several trade obligations under the World
Trade Organisation (WTO), particularly, WTOs Agreements on Application of
Sanitary and Phytosanitary (SPS) Measures and Agreement on Technical Barriers to
Trade (TBT) have significantly altered the international rule-making environment for
food safety. The gradual cuts in tariff rates on agricultural products by the developed
countries under the Agreement on Agriculture are replaced by higher compliance of a
number of technical measures such as food safety regulations, labeling requirements,
quality and compositional standards. Figure 1 on rate of notification of technical
measures since 1995 to the WTO illustrates the challenges that are growing for India
to meet the regulatory requirements of importing countries. In 2010 alone, WTO
members notified 1,419 new or amended technical regulations and conformity
assessment procedures to the WTO (WTO, G/TBT/29, 2011). Failure to meet the
standards and exporting poor-quality and unsafe food to developed countries leads to
rejection of shipments, depriving it of foreign exchange, causing trade repercussions
and loss of income-source for rural and urban workers in agriculture and agro-
industrial sectors.
     In the light of global perspective of food safety, India has initiated some degree
of long-term national strategies to establish its food safety control system. However,
there are issues and challenges for India in improving the overall food security of the
population and the food trade within as well as outside the country.
     It is well-known that the benefits of food safety regulations depend on law-
enforcing authorities implementing the regulations and monitoring the compliance. It
is crucial to have a good understanding of the level of food safety regulations in food
businesses and its compliance in India to assess the prospects of food businesses
under the surveillance of Indias new Food Safety and Standards Act, 2006. This
paper therefore aims to assess the level of food safety regulations in India in terms of
its harmonisation with international standards. In particular, we attempt an appraisal
of food safety system of India to gauge its effectiveness and response to the changing
face of global agri-business. We focus on the level of food safety norms for domestic
434                                 INDIAN JOURNAL OF AGRICULTURAL ECONOMICS
and international trade and adequacy of infrastructure for scientific food handling to
our analysis.
    2000 
      1800  
      1600  
      1400  
      1200  
      1000  
       800
       600
       400
       200
         0
            
            
                 1995  1996 1997  1998  1999  2000  2001  2002 2003  2004  2005  2006  2007  2008  2009 2010 
                                                                                                        
                                                Notification        Addenda/Corrigenda
       Source: WTO, G/TBT/29, Sixteenth Annual Review of the Implementation and Operation of the TBT
     Agreement, March 8, 2011.
                     Figure 1. Notification of technical measures to WTO, 1995-2010
    The plan of the paper is as follows: Section II describes the approach of the paper
and data reference. Section III reviews the Food Safety Objective (FSO), a standards-
related process adopted by the developed countries. The fourth section assesses the
infrastructural capability of the Indian food safety regulations and implementation of
the norms by the use of a case on ripening chambers for fruits and vegetables in arid
India. The last section explores the potential options and opportunities to improve
food safety system of India effectively.
II
the only agency which makes such data public through a monthly import detentions
list, to assess Indias food quality and safety issues in the international food exports.
It also considered the number of import rejection of Indian products on account of
food safety problems by the EU in the analysis.
      For the primary data evidence, the study has selected the capital city of northern
state of Rajasthan Jaipur as it fairly represents a growing urban market set-up that
can represent suitable apprentice to examine if urban cities in India are making
themselves organised in a way as to meet the rising demand for safer food. In terms
of institution for agricultural marketing, Jaipur is one of the few cities that has
separate Agricultural Produce Market Committee (APMC) for fruits constituted
under the State APMC Act,1 1961. It is equipped with state-of-art modern
infrastructure facilities, dealing exclusively with marketing of the fruits and
vegetables, and the same is emerging for exports of fresh fruits and vegetables. The
paper focuses on safer fruits and vegetables because of several reasons: (a) There is
structural change in the composition of world trade in agricultural and food products,
with exports leaning towards high-value foods such as fruit and vegetables, poultry,
and fish (Fafchamps et al., 2006; Athukorala and Jayasuriya, 2003; Watts and
Goodman, 1997); (b) India is the second largest producer of fruits and vegetables and
it forms one of the major agricultural export products. (c) India has come to realise
that it can take advantage of international trade liberalisation to export agricultural
products but experts view that the ability of India to maintain or expand its world
market share will depend on its ability to meet the demands of the world trading
system, not only in terms of competitive prices but also quality and safety standards
(Henson and Loader, 2001); (d) the pattern of domestic demand is evolving and as
India gets richer, consumers are getting more interested in fruits and vegetables and
they demand for better and safer food quality. Due to lack of research data over time,
the analysis relied on descriptive information and statistics.
III
the food production system are therefore considered as a way to reduce the food
safety risks or for prevention of food contamination beforehand.
    The food industries in several nations are adopting the international concept of
Food Safety Objective (FSO)2 to manage food risks hazards. It is recognised that the
entire food chain of production and distribution holds the responsibility to supply safe
and healthy food. Efforts are made to harmonise food control legislation between
countries to ensure that consumers are assured a certain quality and level of safety
wherever that food is produced in the process of globalisation of the food supply
(Davies, 2001). In line with the globally accepted norms, many developing countries
including India are taking steps to undertake food safety programmes. In India,
however, emphasis of food safety control system has been on the exportable food
items. The food quality for the export market varies from the food marketed in the
domestic market. The level of harmonisation of food safety standards for the
domestically marketed produce in India differs extensively, which has implications
for agri-businesses. The study has reviewed this in detail in the following section.
IV
4.1 The Indian Food Safety System vis--vis International Objective of Food Safety
    Until recently, effectiveness of food control in the Indian domestic market was
found to be severely undermined by the existence of multiple jurisdictions, and
weaknesses in surveillance, monitoring and enforcement. Several of these food laws
were enacted under different ministries in India that had their own rules and orders,
which created a perplex and sometime contradictory environment for the food
business sector.3 Thus, despite a notable list of food legislations4, not much could be
achieved in terms of food safety and consumers protection in the country. In the
second quarter of 2006, the country witnessed a new initiative of enactment of the
latest Act, the Food Safety and Standards Act,5 2006 (No. 34 of 2006), under the
Ministry of Health and Family Welfare that integrates the existing eight food laws
(see Table 1). It brings about one statute under a single apex regulatory authority
known as Food Safety and Standards Authority of India (FSSAI) with minor
revisions, while adding the key provisions to further strengthen food safety
regulation. The Central Government notifies Food Safety and Standards Rules,6 2011
on May 5, 2011. This new initiative lays down science-based standards for better
food quality control. The Act is based on international legislations, instrumentalities
and Codex Alimentarius Commission. It is divided in 12 chapters containing 101
sections and two schedules that provide key provisions to improve food safety in
primary food from production to consumption.
                           FOOD SAFETY REGULATORY COMPLIANCE IN INDIA                                         437
     
    The excerpts from the Act such as the Chapter IV, Section 19-25 of the Act
includes some of the key provisions to improve food safety in primary food from
production to consumption. For instance,
     (1) Section 21 of the Act states that foods are not to contain any insecticides or
         pesticides residues, veterinary drugs residues, antibiotic residues, solvent
         residues, pharmacological active substance and micro-biological
         contaminants in excess of limits prescribed under the regulation. One
         important clause of the Act imposes liabilities on the manufacturers, packers,
         wholesalers, distributors and sellers if a food article fails to meet the
         requirements of this Act. It provides for graded penalties where offences of
         manufacturing, storing or selling of misbranded or sub-standard food is
         punished with fine, and more serious offences with imprisonment. The Act
         also compels the establishment of food recall procedures.
4.2 Implementation for Food Safety in Agricultural Produce: Present Indian Scenario
     With much effort so far in laying down the legal food standards by the Indian
Government and the legislative body, the issue of implementation of the orders and
instructions by the authorities remains a concern. The Prime Minister of India
initiated the process of the new Act in 2002 by constituting the task force to review
Indias food and agro industries management policy. For time needed before the new
Food Safety and Standards Act with rules is enforced, existing rules and regulations
under the number of Acts of different Ministries continued to be in force. The
initiative per se was a clear spelt-out to all concerned departments of food regulation
across the country that food safety in the Indian states is a major problem in food
businesses. All states must ensure consumer protection and ensure overall food safety
through standards and guidelines in relation to safe food compliance. On the contrary,
we document a number of cases relating to artificial man-made contamination of food
with pesticide residue, heavy metals and mycotoxins bringing a great menace to the
health and well-being of the local community in the country, even during the years of
run down to adoption of the new Act. The food safety initiative did not work as a
deterrent for those food handlers who knowing or unknowingly caused unsafe and
unhealthy food in the food market. The study has collected the evidence of abuse of
food safety norms and incidence of food-borne illness to highlight the potential lapse
on the implementation of food safety norms and regulations.
     In June 2010, the Union Health Ministry of India asked the state authorities to
keep a strict vigil on the use of carbide gas8 for ripening fresh raw fruits. It is a
common local market knowledge that traders, retailers and sometimes even growers
use unscrupulous methods to ripen fruits artificially in order to ensure a regular
supply of fruits much before their due time and get high prices for them. Under the
Rule 44 AA of the Prevention of Food Adulteration (PFA) Rules, 1955, use of such
chemicals is prohibited in India. The Ministry issued a circular to all state food
authorities, with the Food Safety and Standards Authority of India (FSSAI) stressing
the need to take legal action for violation of the PFA rules. The Ministry announced
that sale of any adulterated and misbranded article of food was an offence punishable
with minimum imprisonment of six months and with a fine that shall not be less than
INR 1,000. In case adulterated food stuff causes death or grievous hurt, the offence
was punishable with imprisonment which might extend to term of life and with fine
which shall not be less than INR 5,000. Enforcement authorities in the states have
been informed that circumstantial evidence of presence of calcium carbide in
godowns/wooden crates/premises kept together with fruits may be evidence of
artificial ripening for the courts. The FSSAI also circulated a copy of procedure for
detection of acetylene in godowns or treatment chambers.
     In our review of select cases of marketing of unsafe fruits and vegetables reported
in national dailies since 2010 and other private studies, we find that food safety law is
poorly implemented in the country. There is no access to official public records of the
440                         INDIAN JOURNAL OF AGRICULTURAL ECONOMICS
cases but reported news items and research studies in Table 3 may represent current
practices in implementation of food safety norms in the country. The news covered in
the national dailies reveal that food safety law is violated under the administrative
parlance of domestic regulated wholesale markets. It seems that officials pay little
attention to accepted protocols and food regulations because of low level of
awareness amongst them about safe food ripening procedures. It is possible that clear
guidelines are needed to meet the food standards, as both the marketing officers and
the food handlers are not aware or educated enough to follow globally accepted
norms of safe food. It is important for the local government to adopt and implement
national food safety standards based on the international recommended Codex
Alimentarius Commission standards and codes of practice.
    Unsafe food is a cause of high levels of food insecurity and ill-health. Food-
borne illness is a serious health hazard and its incidence can go high in unprotected
environments that we find in poor and under-developed areas in the country. There
is an additional burden of economic loss due to negative impact on food trade, both
domestic and international. Although it is difficult to estimate the extent of total
economic loss owing to lack of sufficient supportive data, we assess the health
problem in the study area by looking at number of reported food borne infections in
arid India. The health records were collected from the public agency for the year
2008 till 2010, as shown in Table 4. The figures in the table indicate the growing
problem of poor public health due to food borne diseases. There is possibility of
under-reporting of the potential problem as the extent of infection might not be
monitored owing to poor surveillance and in many cases go unreported.
    The major problem with fresh fruits and vegetables across Indian states is that of
their artificial ripening by the use of toxic and banned chemicals. We therefore
investigated the availability of suitable infrastructure like modern scientific ripening
chambers for fruits and vegetables as a case-study of Jaipur district. Incidentally, it is
found that there is no facility of a ripening chamber provided by the local
government, although it provides other modern marketing infrastructure as is evident
in Table 5. In the private sector, two ripening chambers with about 50MT capacity
per day have recently come up in Jaipur city. The lack of scientific ripening chambers
to meet international safety standards in the modern market (see Table 4) clearly
indicates that even in the modern markets of India food safety issues appears to be
neglected.
    The study further attempts to assess the level of food safety issue in the country
by looking at the adequacy of number of food licenses issued by the state food
inspectors as per the Prevention of Food Adulteration Act (PFA), 1954 in the case of
Jaipur city. No office was found to keep category-wise record of licenses issued
under the PFA Act. The concerned officer mentioned that licenses are procured
mainly for operations in food processing units, hotels, and restaurants and there is
442                         INDIAN JOURNAL OF AGRICULTURAL ECONOMICS
none-to-low awareness about the food safety norms present in fresh fruits and
vegetables. The field visits9 at the Muhana wholesale market of fruits and vegetables
in Jaipur also revealed that ripening of fruits and vegetables are carried out by
adopting traditional practices of use of calcium carbide powder and smoke-n-ice
methods. To be the objective in assessing the level of food safety standards, it was
decided to attribute about ten per cent licenses of the total PFA licenses to meet
safety norms in the wholesale market of the fresh fruits and vegetables in the Jaipur
city. Our approximate estimation suggests that one PFA license holder handles 1175
quintals of fruits and 2775 quintals of vegetables together everyday in the Jaipur
wholesale agricultural market, as shown in Table 6. Though the hypothetical
estimation is crude, the probable value predicts high level of institutional inadequacy
in administrating food safety standards in the fruits and vegetable markets in the
present modern market of urban cities of India.
  Arrival      Arrival         No. of food          Total PFA       Fruits qty. per   Veg. qty. per    10 per cent
   Fruits    Vegetables     handlers (traders,    license (urban     food handler     food handler       of PFA
   (qtl.)       (qtl.)           agents)             and rural)          (qtl.)            (qtl.)        license
    (1)          (2)               (3)                  (4)               (5)               (6)             (7)
 2538057      5994636             2160                 6986              1175              2775            699
      Source: Data on arrival and food handlers is collected from Rajasthan Agricultural Produce Market Committee,
Jaipur. Number of PFA license is sourced from the office of Municipal Corporation, Jaipur, May 2011.
    We examine the level of food safety issue further in the case of food export
markets. We investigate if basic infrastructure facilities are poor in the modern
domestic agricultural markets, do they affect Indias performance of the food exports
as well? We look at the import detentions by the EU and US authority. Table 7
indicates rejection of exports of agricultural and food products of India to the EU as a
direct result of SPS requirements for the period 2008 to 2010. Similarly, the data
                          FOOD SAFETY REGULATORY COMPLIANCE IN INDIA                                       443
     
from FDA detention lists for the period 2010 for imported food from India is given in
Table 8. The majority of detentions and rejections of foods from India are not related
to highly technical or sophisticated requirements. At the top of the list stand food
hygiene problems represented by microbiological contamination and pesticide
residues. Food additives comes next, followed by failure to limit filth not elsewhere
classified (insect, bird rodent), and then mandatory labeling. The consideration with
the import detention data is that they are count data and do not reflect the dollar value
of Indian food products refused entry to the EU and United States or the rate of
detention relative to the volume of trade. The value of detained product relative to the
value of imports is the most direct measure of the challenges encountered at border
inspection. Unfortunately, this measure cannot be calculated due to the lack of value
data for detained shipments. Nonetheless, to a large extent, this information reflects
the fact that poor food safety control system in the domestic market of India act to
impede its exports of agricultural and food products. Dealing with these is well
within the means of India and would go a long way in promoting its export trade.
CONCLUSION
     The Indian Government has enacted several laws under different ministries to
establish quality and safety in countrys food management systems. In practice, the
status of food safety standards is obscure due to poor enforcement of laws which
appear to render weak regulatory environment in the food sector of India having
implications for growth and employment prospects. The study attempts an appraisal
of the Indian food safety regulation in terms of its effectiveness and its response to
changing face of global agri-business through a case-study approach. The data on
regulatory inadequacy on food safety standards shows that majority of detentions and
rejections of foods from India are not related to highly technical or sophisticated
requirements but the concerns almost relate to food hygiene problems arising from
failure to meet SPS standards of the WTO. The evidence indicates that strengthening
domestic market for the food safety standards is important prior to expecting the
markets supply chain to adapt to international standards of the food safety.
Moreover, long term fostering and sustenance of the trade competitiveness of agri-
businesses would require perceived transparency of regulatory processes and the risk
communication policy. The trust in government institutions such as the Food Safety
and Standards Authority of India (FSSAI) by implication would strengthen the
consumers confidence in the food supply system and by virtue of the feedback
impact would make considerable impact on the potential and prospects of the
countrys agribusinesses. Based on analysis, the paper arrives at the three-prong
strategies as follows:
1. Proposals for Enhancing the Trade Include: (i) Special budget for building soft
   and hard infrastructure; (ii) Attract more Private-Public-People partnership to
   undertake awareness programmes, sensitisation and capacity building on risk
   communication in both perishable and non-perishable food items; (iii) Set up
   accredited network of laboratories with skilled manpower to conduct scientific
   testing for the primary Perishable Agricultural Commodities; (iv) APMCs to
   ensure a premium payment for better quality graded produce to the farmers as an
   incentive to follow and innovate more of the food safety norms, while providing
   modern infrastructural facilities to both traders and farmers; and (v) Explore
   innovative models of management, for instance, the state government may
   consider a pilot project to lease out the regulated market to private agri-
   businesses. The regulatory authorities in turn assume an advisory and regulatory
   role to make sure that safety norms in that market are as per the law and provide
   supporting infrastructure.
2. Proposals for Building Consumers Trust Include: (i) Gradual city-based scheme
   should be started to restrict sale of loose food items; (ii) Sensitise public about
446                          INDIAN JOURNAL OF AGRICULTURAL ECONOMICS
3. Proposals for Educating Traders and Small Farmer Include: (i) Set-up an
   exclusive committee to frame a set of good and hygienic practices for all
   activities undertaken in market of fruits and vegetables, adopting a strategic view
   and consult widely with all sectors of the food chain and interest groups across
   the country; (ii) Farmers to be educated and trained on personal hygiene along
   with safe application of pesticides and efficient spray technology as an attempt to
   prevent contamination in fields; (iii) Integrate small farm owners and traders in
   India into food safety and quality networks by establishing more number of
   supermarkets that may help both managing traceability issue and awareness
   generation through learning-by-doing process; and (iv) Programmes through
   mass media like TV, Radio, mobile SMSs to sensitise both farmers and all
   relevant stakeholders on the issue need to be undertaken.
                                                      NOTES
       1.    The State APMC Acts establishes the agricultural produce markets in the state and provides for their
regulation to achieve an efficient system of buying and selling of agricultural commodities.
       2.    The concept allows to the application of the principles of Good Hygienic Practice (GHP), Hazard Analysis
Critical Control Point (HACCP) systems, Good Agricultural Practice (GAP) performance criteria, process/product
criteria and/or acceptance criteria (FAO/WHO, 2002) and other protocols introduced by Codex Alimentarius and
International Standard Organisation (ISO). The most recent standard protocol is ISO22000 that is directly associated
with supply chain management in context of food and agri-business.See FAO and WHO, 2002, 2003 for details on
FSO; Alberni et al., 2008; and Cole 2004 for concept and application.
       3.    See Report on Implementation of FSSA: An Industry Perspective, FICCI 2007 at
http://www.indiaenvironmentportal.org.in/files/Food_Safety_Study.pdf.
       4.    Good overview on the main Indian Acts and statutory orders to regulate food trade in India is available in
Acharya and Agarwal 2009, p.316-317, p.337-345.
       5.    See Palthur, et el., for review of the new Act.
       6.    The       Food         Safety       and     standards      Rules,       2011      are      available    at
http://www.fssai.gov.in/Portals/0/Pdf/FSS_Rules_2011_English_06-05-2011.pdf (accessed on May 10, 2011).
       7. See FAO/WHO Report, 2002 and Cole, 2003 for concept; See Alberni et al., 2008; Raspor, 2008; and
Wallace in Mayes and Mortimore (Ed), 2001 for application.
       8. Medical science finds calcium carbide, popularly known as masala in Indian markets, causes cancer. Used
in gas welding for steel goods, it also causes mouth ulcers, gastric irritation, even food poisoning. Some vendors also
dip fruits in a solution of ethephon or expose the fruits to ethylene gas to speed up ripening. See Ashraf Ur-Rahman
et al., 2008 for health hazards associated with carbide; see WHO, 2007 factsheet on Food safety and food borne
illness.
       9. Repeated visits were made in April 2011.
       10. Bharti Enterprise is a pioneer in telecommunication sector in India and the group has started to enter into
new business areas such as insurance and retail.
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                                               ANNEXURE I
           AVAILABILITY OF FOOD LABS AND PHYSICAL ACCESSIBILITY IN INDIA  2012
                                                                               No. of
                                                                   Food Labs             Food Labs
 State/UT                                      Food Labs            '000 MT             '00 Sq.Km.
 (1)                                               (2)                 (3)                  (4)
 Andhra Pradesh                                     6                0.0003                0.002
 Arunachal Pradesh                                  0                0.0000                0.000
 Assam                                              1                0.0002                0.001
 Bihar                                              1                0.0001                0.001
 Chhattisgarh                                       1                0.0001                0.001
 Goa                                                1                0.0072                0.027
 Gujarat                                            6                0.0004                0.003
 Haryana                                            2                0.0001                0.005
 Himachal Pradesh                                   1                0.0007                0.002
 Jammu and Kashmir                                  0                0.0000                0.000
 Jharkhand                                          1                0.0002                0.001
 Karnataka                                          2                0.0002                0.001
 Kerala                                             4                0.0070                0.010
 Madhya Pradesh                                     1                0.0000                0.000
 Maharashtra                                      19                 0.0010                0.006
 Manipur                                            0                0.0000                0.000
 Meghalaya                                          1                0.0038                0.004
 Mizoram                                            0                0.0000                0.000
 Nagaland                                           0                0.0000                0.000
 Orissa                                             1                0.0002                0.001
 Punjab                                             1                0.0000                0.002
 Rajasthan                                          6                0.0002                0.002
 Sikkim                                             0                0.0000                0.000
 Tamil Nadu                                         6                0.0005                0.005
 Tripura                                            0                0.0000                0.000
 Uttar Pradesh                                      5                0.0001                0.002
 Uttarakhand                                        1                0.0005                0.002
 West Bengal                                        1                0.0001                0.001
 Andaman and Nicobar Islands                        0                0.0000                0.000
 D & N Haveli                                       0                0.0000                0.000
 Delhi                                              1                0.0065                0.027
 Daman and Diu                                      0                0.0000                0.000
 Pondicherry                                        1                0.0054                0.209
 All India                                        70                 0.0002                0.002
      Note: Compiled from the information collected from FSSAI, New Delhi.