Abstract

AbstractVegetable protein products are increasing in use in the U.S. diet, especially in substitutes for the traditional animal‐protein foods: meat, seafood, poultry, eggs and cheeses. This is occurring despite an ample protein supply which permits U.S. consumers to eat about twice the recommended protein levels. Cost, dietary preferences and the functionality of vegetable proteins appear to assure further increases. In order to permit continued development of these products, while at the same time assuring their nutritional adequacy and providing informative labeling, the U.S. Food and Drug Administration recently issued comprehensive tentative regulations. The regulations prescribe that the primary products be named as vegetable flour, vegetable protein concentrate and vegetable protein isolate when they contain less than 65%, 65% up to 90% and 90% or more protein respectively—except that gluten products may be referred to as such. When vegetable protein products are used as protein sources in whole or partial substitution for meat, seafood, poultry, eggs or cheese foods, the name of the substitute food must include the term vegetable protein product. Such substitute foods must be nutritionally equivalent to the original foods to avoid being called imitation. Imitation products must also be named to indicate the nature of the products, such as their use of vegetable protein ingredients. Nutritional equivalency is defined by nutrient profiles for six classes of foods: break‐fast or lunch meats; seafood, poultry and other meats; eggs; cream cheeses; cottage cheeses; and natural cheeses. Fortification of substitute foods to meet nutritional equivalency requires their nutrition labeling. The FDA regulations also require that the PER of substitute foods containing vegetable protein products at more than 30% when combined with meat, seafood, poultry, eggs or cheeses shall be at least 100% that of casein. At 30% or less, the required PER is 80% that of casein. Specific USDA rules or FDA regulations such as the proposed standards for milk, cream or cheese substitutes take precedence over the general vegetable protein regulations. It is FDA intent to finalize the vegetable protein regulations as soon as possible.

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