The Non-GMO Project applauds the European Court of Justice’s July 25, 2018 ruling on new genetic engineering techniques, which clarifies that products of techniques such as CRISPR-cas9, RNAi, and gene drives are to be considered GMOs under European law. This is a great victory for the 508 million European consumers who will benefit from the regulation and labeling of products made with genetic engineering. The decision aligns with the Non-GMO Project’s position, as products of these new tech... Read more
On May 3rd, the USDA released its long-awaited draft of a National Bioengineered Food Disclosure Standard, pursuant to a law passed in July 2016. While there are many aspects of the draft that warrant comment (check out our complete list here), one thing that is particularly outrageous is the terminology proposed. Under the proposed rule, it would become illegal to make a GMO disclosure using anything other than these two terms: bioengineered and "BE." In order to help establish just how mislead... Read more
The National Bioengineered Food Disclosure Standard (NBFDS) is the culmination of two decades of Americans overwhelmingly demanding mandatory labeling of GMO foods. The draft version published by the USDA on May 3 leaves many questions unanswered and indicates plenty of cause for alarm. The USDA is currently accepting comments through July 3. In order to support you in making your voice heard, the Non-GMO Project has created a short webinar explaining key points for comments, and has... Read more
May 3, 2018
The USDA today published a draft rule on federal standards for labeling of bioengineered food, as directed by a law passed by Congress in 2016. A 60-day public comment period on the rule begins tomorrow and ends on July 3, 2018.
The Non-GMO Project will be coordinating with all of our stakeholders to support engagement in the comment process. Next steps include an informational webinar for brands and retailers, calls to action for the public, and guidance on formal comments... Read more