[House Hearing, 113 Congress]
[From the U.S. Government Publishing Office]
FOOD AND DRUG SAFETY, PUBLIC HEALTH, AND THE ENVIRONMENT IN CHINA
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HEARING
before the
CONGRESSIONAL-EXECUTIVE COMMISSION ON CHINA
ONE HUNDRED THIRTEENTH CONGRESS
FIRST SESSION
__________
MAY 22, 2013
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Printed for the use of the Congressional-Executive Commission on China
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CONGRESSIONAL-EXECUTIVE COMMISSION ON CHINA
LEGISLATIVE BRANCH COMMISSIONERS
Senate House
SHERROD BROWN, Ohio, Chairman CHRIS SMITH, New Jersey,
MAX BAUCUS, Montana Cochairman
CARL LEVIN, Michigan FRANK WOLF, Virginia
DIANNE FEINSTEIN, California MARK MEADOWS, North Carolina
JEFF MERKLEY, Oregon ROBERT PITTENGER, North Carolina
TIM WALZ, Minnesota
MARCY KAPTUR, Ohio
MICHAEL HONDA, California
EXECUTIVE BRANCH COMMISSIONERS
SETH D. HARRIS, Department of Labor
FRANCISCO J. SANCHEZ, Department of Commerce
NISHA DESAI BISWAL, U.S. Agency for International Development
Lawrence T. Liu, Staff Director
Paul B. Protic, Deputy Staff Director
(ii)
CO N T E N T S
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STATEMENTS
Page
Brown, Hon. Sherrod, a U.S. Senator from Ohio; Chairman,
Congressional-Executive Commission on China.................... 1
Schuchat, M.D., [RADM, USPHS], Anne, Assistant Surgeon General,
U.S. Public Health Service; Acting Director, Center for Global
Health, Centers for Disease Control and Prevention [CDC]....... 3
Solomon, D.V.M., M.P.H., Steven M., Associate Director for Global
Operations and Policy, Office of Global Regulatory Operations
and Policy, U.S. Food and Drug Administration.................. 4
Turner, Jennifer, Director, China Environment Forum, Woodrow
Wilson Center.................................................. 13
Huang, Yanzhong, Senior Fellow for Global Health, Council on
Foreign Relations; Associate Professor and Director, Center for
Global Health Studies, Seton Hall University................... 15
Corbo, Tony, Senior Lobbyist, the Food Program, Food & Water
Watch.......................................................... 17
APPENDIX
Prepared Statements
Schuchat, M.D., [RADM, USPHS], Anne.............................. 26
Solomon, D.V.M., M.P.H., Steven M................................ 29
Turner, Jennifer................................................. 33
Huang, Yanzhong.................................................. 38
Corbo, Tony...................................................... 40
Brown, Hon. Sherrod.............................................. 52
Prepared Statement of Hon. Christopher Smith, a U.S.
Representative from New Jersey; Cochairman, Congressional-
Executive Commission on China.................................. 53
Submission for the Record
Written Statement Submitted for the Record by Elizabeth Economy,
C.V. Starr Senior Fellow and Director for Asia Studies, Council
on Foreign Relations........................................... 55
FOOD AND DRUG SAFETY, PUBLIC HEALTH, AND THE ENVIRONMENT IN CHINA
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WEDNESDAY, MAY 22, 2013
Congressional-Executive
Commission on China,
Washington, DC.
The hearing was convened, pursuant to notice, at 10:20
a.m., in room 562, Dirksen Senate Office Building, Senator
Sherrod Brown, Chairman, presiding.
OPENING STATEMENT OF HON. SHERROD BROWN, A U.S. SENATOR FROM
OHIO; CHAIRMAN, CONGRESSIONAL-EXECUTIVE COMMISSION ON CHINA
Chairman Brown. The Congressional-Executive Commission on
China will come to order.
Thank you for attending this timely hearing. I look forward
to hearing the distinguished panelists, whom I will introduce
in a moment, for being here to raise awareness about this
important public health topic.
There are three new Members of the House of Representatives
that have been appointed to the Commission: Congressman Frank
Wolf, a long-time Virginia Republican; also Congressman Robert
Pittenger and Congressman Mark Meadows will be joining. I hope
the remaining appointments from both parties in both Houses
will be made soon.
In recent months, the world has once again been reminded
just how closely our health and safety is tied to the People's
Republic of China. The current bird flu outbreak has claimed 36
lives and has spread to Taiwan. The discovery of 20,000 dead
pigs floating in Shanghai and rat meat being passed off as lamb
have renewed concerns about the safety of China's food exports.
Pollution in Beijing and other cities' industrial areas in
China especially have reached what most would consider
intolerable levels. This spring marks the height of the SARS
crisis of a decade ago which took 774 lives and touched nearly
every corner of the globe.
The risk to Americans has increased since we expanded trade
relations with China without both providing for mechanisms to
ensure safe imports and without assigning responsibility where
it belongs in many cases, and without properly equipping our
safety agencies with tools to ensure safe food.
In 2001 when China entered the World Trade Organization
[WTO], the total amount of Chinese goods exported to the United
States was slightly in excess of $100 billion. A decade-plus
later, that number has reached a staggering $426 billion, much
of that food and pharmaceutical components.
From 2001 to 2012, China's food exports to the United
States reportedly tripled. Between 2003 and 2011, the volume of
pet food exports from China to the United States grew 85-fold.
Americans might be surprised today to learn just how much
of their food, drugs, and pet food are made in China. Some 80
percent of our tilapia, 50 percent of our apple juice, and 30
percent of our garlic come from the People's Republic of China.
This increased reliance on China has had grave
consequences. We know six years ago 149 Americans died after
taking heparin, a widely used blood thinner linked to
contaminants from Chinese workshops. Thousands of U.S. pets
have died as a result of tainted treats from China.
Part of the problem is that some of our companies are all
too willing to take advantage of China's lax safety standards,
creating a playing field not level for our homegrown producers,
putting our public health at risk without the responsibility
that these corporations should take.
Just as important has been China's failure to provide its
citizens basic rights. Chinese citizens lack the political
freedom to elect officials responsive to their concerns. There
is no free press to help bring these problems to public light.
There are no independent courts to ensure officials and
companies follow the law. And there is no free civil society to
sustain long-term advocacy on consumer's or public health's
behalf. The costs of the current Chinese system are clear, both
to the Chinese people and to consumers who buy products made,
manufactured, and/or grown in China.
Without meaningful and effective pressure from their own
citizens, Chinese officials still too often choose secrecy over
openness and accountability. Congress must also give close
examination to our government agencies responsible for safe
drugs and food and products and to the rules of international
trade agreements to ensure we do not lower standards.
It is in some sense a perfect storm. It is the Chinese
Government and society unwilling or unable to deal with these
problems. It is U.S. regulatory agencies--understaffed and
over-worked in many cases--that simply cannot reach into a
country of 1.3 billion people and do what they need to do. And
it's American corporations willing to profit but not willing to
take full responsibility, or in some cases even partial
responsibility, for what they are bringing into this country.
I look forward to the testimony of our witnesses.
Cochairman Smith will be here we think in a few minutes, but
obviously we will get started. I will introduce the two
panelists.
Dr. Anne Schuchat is an Assistant Surgeon General of the
U.S. Public Health Service, and Director of CDC's National
Center for Immunization and Respiratory Diseases. She has
extensive experience with China. She worked there on the SARS
emergency response, where she headed a team at the World Health
Organization's [WHO] China Office. She served as a visiting
professor for the Beijing Centers for Disease Prevention and
Control. She has made important contributions to prevention of
infectious disease in children and has authored and co-authored
more than 180 articles, book chapters, and reviews. Welcome,
Dr. Schuchat.
Dr. Steve Solomon is Associate Director for Global
Operations and Policy in the Office of Global Regulatory
Operations and Policy, and Acting Deputy Associate Commissioner
for Regulatory Affairs for the U.S. Food and Drug
Administration [FDA]. He has worked at the FDA for more than
two decades in various capacities, including in the Center for
Veterinary Medicine as a veterinary medical reviewer, and
within the Office of Regulatory Affairs.
Dr. Schuchat, if you would go first and keep your comments
to more or less five minutes. Thanks.
STATEMENT OF ANNE SCHUCHAT, M.D., [RADM, USPHS], ASSISTANT
SURGEON GENERAL, U.S. PUBLIC HEALTH SERVICE; ACTING DIRECTOR,
CENTER FOR GLOBAL HEALTH, CENTERS FOR DISEASE CONTROL AND
PREVENTION [CDC]
Dr. Schuchat. Thank you, Senator Brown. I am really pleased
to be able to update on how CDC's collaborations in China are
protecting the health of Americans while protecting the health
of China's own citizens.
CDC and China have been collaborating for about 30 years on
public health priorities of global importance. We focused that
collaboration on technical assistance and capacity building and
we work with local, State, provincial, and national public
health institutes.
A sign of the strength of our collaboration is that the
Chinese have designated these public health institutes CDCs.
The phrase ``CDC'' has no meaning in Chinese, but it is their
attempt to model their program after what we do here in the
United States.
Some of our signature programs in collaboration with the
Chinese include the Global Disease Detection Center [GDD] and
the Field Epidemiology Training Programs [FETP]. These efforts
are aimed at training staff to become strong epidemiologists
and on carrying out priority infectious disease and emergent
threat investigations.
The GDD and FETP sites have trained many individuals,
including 100 of China's top epidemiologists. They have,
together, investigated over 500 outbreaks to try to rapidly
assess situations and bring disease under control.
Another milestone in the collaborations between the CDC and
China is the influenza work that we have done together since
the late 1980s. A milestone was accomplished in October 2010
when the Chinese National Influenza Center became the fifth
World Health Organization international reference center for
influenza. China is the only one of those five international
reference centers that occurs in a lower/middle income country
and is really providing huge information and collaboration to
the rest of the world.
As you mentioned, 10 years ago I was in Beijing during the
SARS epidemic there and I have personally seen a huge change in
the capacity and transparency of my counterparts in China. This
is most evident in their response to the H7N9 influenza threat
that is ongoing.
As you mentioned, since March this new strain of influenza
has been identified in China. They rapidly reported the full
genetic sequence of this new influenza strain and took
intensive efforts to understand the problem and try to bring it
under control.
There have been 131 cases reported so far. The last several
weeks we haven't seen new cases, primarily we believe related
to their closing down live bird markets, although some of the
improvements may be due to seasonality of these viruses. We are
not at all out of the woods with that particular strain, but we
think the transparency and collaboration was very good for
their response.
Another sign of their improved capacity is their expansion
of their influenza work. They have increased from some 90
clinical sites looking for influenza-like illness to over 500.
They have increased from 60-some labs that could characterize
influenza to over 400 labs all around the country, and the
sophistication of their work in influenza is much greater.
We think the investments that the U.S. Government has been
making in China through the CDC have been catalytic. With about
a $10 million budget that we provide, they are putting over $10
billion into their public health system. We strongly believe
this is helping Americans.
In some ways China has become a model for other emerging
economies in developing countries, as we see that over 80
percent of countries around the world have not yet met their
requirements for the international health regulations that were
beefed up after the SARS epidemic so that all countries would
be more transparent and more able to rapidly respond to health
threats and communicate them elsewhere.
We think China has made great strides in improving their
public health systems and they have become increasingly
collaborative with the U.S. CDC and other countries.
We are very grateful for the support that we have been
getting to strengthen global disease detection around the
world, including in China, to help keep Americans healthy and
safe and we think that the world is continuing to be
challenging. Microbes are constantly changing. We need to
continue these investments to stay ahead of them.
Thank you.
Chairman Brown. Thank you very much, Dr. Schuchat.
Dr. Solomon?
[The prepared statement of Dr. Schuchat appears in the
appendix.]
STATEMENT OF STEVEN M. SOLOMON, D.V.M., M.P.H., ASSOCIATE
DIRECTOR FOR GLOBAL OPERATIONS AND POLICY, OFFICE OF GLOBAL
REGULATORY OPERATIONS AND POLICY, U.S. FOOD AND DRUG
ADMINISTRATION
Dr. Solomon. Good morning, Chairman Brown. I am Dr. Steve
Solomon, Associate Director for Global Operations and Policy at
the Food and Drug Administration [FDA]. Thank you for the
opportunity to be here today to discuss FDA's efforts to help
ensure global product safety and quality, and our work related
to China.
Sweeping economic and technological changes have
revolutionized international trade over the last several
decades, creating a truly global marketplace. Food and medical
products and their ingredients and components are increasingly
sourced from abroad. The number of FDA-regulated import
shipments has more than tripled compared to a decade ago to 28
million entry lines in fiscal year 2012.
Americans benefit greatly from this global sourcing of
products. For example, U.S. consumers have access to a wide
variety of fruits and vegetables year round, regardless of the
domestic growing season, as well as access to drugs and
devices.
At the same time, this rapid globalization of commerce
poses challenges. Some products entering the United States are
made or grown in countries that lack the necessary regulatory
oversight to ensure their safety.
Greater numbers of suppliers, more complex products, and
intricate, multi-national supply chains can introduce safety
risks. Public health challenges associated with globalization
have manifested themselves in products or ingredients from
China.
As you mentioned, Chinese suppliers of heparin substituted
a lower cost adulterated raw ingredient in their shipments to
U.S. drug makers, causing severe allergic reactions and deaths.
In another instance, melamine was added to vegetable protein in
China and then used as an ingredient in pet foods made in the
United States, which sickened and killed dogs and cats in the
United States.
FDA recognizes that enhanced protection of the American
public depends increasingly on our ability to reach beyond U.S.
borders and to engage with other government regulatory
counterparts as well as with industry and international
organizations.
To address the challenges, FDA is utilizing a variety of
engagement strategies. For example, FDA's international offices
help to build strong partnerships with our foreign counterparts
by providing enhanced opportunity for cooperation and capacity
building. We now have a permanent FDA presence in 12 foreign
posts in 9 countries, including China.
The agency electronically screens all imports using an
automated risk-based system to determine if shipments meet
identified criteria for physical examination, analytical
testing, or other review. This system allows FDA to focus its
resources on those imports that are most likely to pose a
danger while at the same time facilitating entry of lower risk
products.
FDA recognizes the need to engage in effective regulatory
cooperation with our global partners. FDA is working
strategically with a range of countries, including China, to
provide information and training to strengthen the regulatory
capacity of our trading partners. In addition to these
activities, FDA is implementing significant new authorities
provided by Congress that will help ensure the safety of
imported products.
The FDA Food Safety Modernization Act enhances our ability
to focus on preventing rather than reacting to food safety
problems. It provides modernized tools to enhance the safety of
both domestic and foreign food. For example, importers will
have explicit responsibility to verify that their foreign
suppliers have adequate preventive controls in place to ensure
that the food they produce is safe.
Last year, Congress granted FDA other important new
authorities with the passage of the Food and Drug
Administration Safety and Innovation Act, which focuses on
improving the safety and integrity of the drug supply chain.
FDA is working hard to implement these new laws.
Let me turn to some specifics on China. As the number of
products imported from China has increased, so have the
challenges. FDA is taking several actions in response to these
challenges. FDA currently has 13 officers posted in 3 locations
in China: Beijing, Shanghai, and Guangzhou.
The mission of FDA's China Office is to strengthen,
monitor, and help safeguard the safety, quality, and
effectiveness of FDA-regulated products produced in China for
export to the United States. FDA's China Office works to
fulfill this mission through collaborating and capacity
building with Chinese regulatory counterparts, academia, and
non-governmental partners; reaching out to regulated Chinese
firms to enhance compliance with FDA's standards; and
conducting inspections of facilities that manufacture FDA-
regulated goods.
To protect American consumers from potentially unsafe
imported products, we utilize various regulatory controls. For
example, when FDA finds a problem with a product, producer, or
importer, FDA issues an import alert. There are currently 74
active FDA import alerts that include firms based in China.
Under these import alerts, producers' products may be detained
at the border and may be refused admission into U.S. commerce
unless the importer is able to demonstrate that the products
are in compliance with all FDA laws and regulations.
There are currently nine country-wide import alerts for
China, including one for milk products and another for
vegetable protein from China because of the presence of
melamine.
While regulated industry has the primary responsibility to
produce safe products, it is important that governments provide
meaningful and robust regulatory oversight. FDA is working with
China to help them improve their regulatory systems and to
educate them on the new standards being implemented by FDA.
On both fronts, here in the United States and in China, FDA
is pursuing a comprehensive strategy to enhance the safety and
quality of imported products and establish an effective global
product safety net.
I am happy to answer any questions you may have.
[The prepared statement of Dr. Solomon appears in the
appendix.]
Chairman Brown. Thank you, Dr. Solomon.
Dr. Schuchat, let's start with you. You used terms like
``sophistication is greatly improved,'' ``China's public health
system is becoming a model for others''--understanding the
limits of that--and that they ``answer health threats much
better.'' Is that primarily applied to those dealing with
infectious disease outbreaks, like avian flu.
Would you apply that to the issue of manufacturing,
production, and growing in the pharmaceutical supply chain or
the supply chain for pet food or any of those other issues,
that they have greatly improved?
Dr. Schuchat. Thank you for that question because I did not
mean to imply the industrial changes or the supply chain
issues. I am really speaking of their ability to rapidly
detect, investigate, and respond to primarily infectious
disease threats, but other unknown issues.
They did a very nice job recently looking at a problem with
sudden unexplained deaths that had been occurring in one part
of the country in Yunnan, and they were able to characterize
the threat and figured out that it was related to consumption
of a new species of mushroom. So that was not an infectious
disease, but a toxic problem, but this is really the
investigatory response capacity.
They have also put a lot of resources into improving the
sophistication of their laboratory detection so they can do
these sophisticated whole genome sequences. It was really
impressive how they sequenced the new influenza strains and
posted them immediately, which permitted the global community,
the scientific community, to develop new diagnostic tests so
that others could figure out whether they had the same
influenza strain, and also to help get us a jump on the
candidate vaccine/virus development so that if we would ever
need a vaccine for this particular influenza strain we were
further along.
Chairman Brown. It is very different from a decade ago when
you were there.
Dr. Schuchat. Incredibly different. Incredibly different.
Chairman Brown. The habit of authoritarian governments is,
at least from my experience all over the world, denial of a
problem first and then deflection of criticism, this did not
happen here, do not blame us, or whatever. I mean, that is
maybe human nature, too. What have you seen with transparency
in China now on disease outbreaks like this?
Dr. Schuchat. Yes. Sure. Yes. I think that the Chinese
really suffered during SARS. There was global humiliation,
there was loss of life, there were huge economic losses. I do
think that they tried to learn from that in terms of
aggressively investing in their public health capacity.
They have become more transparent in dealing with these
outbreaks and communicating about them. One of the things we
have done with the U.S. CDC collaboration is help with training
on risk communication. The culture of ``don't talk about what
is going on until everything is finished,'' it takes a long
time to break that kind of culture. Risk communication is a
technique we use in emergency response to tell people as much
as we know as soon as we know it and try to sustain credibility
rather than covering up.
This is important in public health and something that we
are helping them get better at. There is still work to do
there, but I do think that in more recent outbreaks they have
been much more cooperative. They have invited WHO in, they have
invited international experts in, to open the books to them and
really share what is going on. So I would say that they have
learned from their catastrophe, but like most countries there
is more work to do.
Chairman Brown. I remember a decade-plus ago when there was
an earthquake in Taiwan. The Beijing Government did not give
World Health authorities permission to go into Taiwan because
of the peculiar political dynamics of our relations in Western
and other countries' relationship with the PRC and Taiwan, that
the Chinese did not give permission for 24 hours or something.
Has that been an issue with Taiwan here on bird flu?
Dr. Schuchat. I am not aware of it being an issue. I am not
sure.
Chairman Brown. The transparency with China has also been
with Taiwan, that you can see?
Dr. Schuchat. Yes. I probably do not know enough to answer
that.
Chairman Brown. Okay.
One other question. Talk to me about the central
government's coordination with local governments on these
issues, something that has more often than not been a problem.
Dr. Schuchat. Yes. This is a challenging issue in many
countries, frankly including our own. But I think the
strength--the provinces are different. Some are quite strong,
some do rely more on the central government. I think that it is
probably a continuum, how well the coordination works. We work
with all levels. Our primary counterpart is the national level,
China CDC.
But I think that there is recognition from some of these
really horrible outbreaks of how important coordination is and
how lives depend on it. Here in the United States we exercise--
we use local and State health departments. We work together on
exercising emergency response and coordination. I think in
China they have enough multi-provincial outbreaks that show the
benefit of working together.
We have been supporting some expansion of their food-borne
disease surveillance so that they can do what we do here,
fingerprinting the strains of salmonella and recognizing the
multi-jurisdictional outbreaks. Those are important health
issues to identify but they also strengthen the need to work
across jurisdictions. So we think that with their continuing
investments in a public health capacity and even this food-
borne disease surveillance expansion, they will get more
practice working effectively across jurisdictions.
Chairman Brown. Thank you, Dr. Schuchat.
Dr. Solomon, contrast the progress of 10 years in Dr.
Schuchat's comments and what you know about that with the
progress in 10 years on industrial supply chain, whether it is
lead-based paint on toys or other contaminants, whether it is
the pharmaceutical supply chain, whether it is pet food or any
other kind of food. Contrast the 10 years of progress they have
made on the infectious disease side with those questions, if
you would.
Dr. Solomon. I think the analogy generally works that they
have been on a trajectory to improve their regulatory systems.
Clearly, the events of heparin and melamine damaged the product
name for ``Made in China'' and caused significant new thinking
among their regulators and some changes in their regulatory
systems that we continue to see today.
I think 2007 and 2008 were kind of key years when melamine
and heparin took place and when we signed agreements on both
the pharmaceutical side and on the food side with the General
Administration of Quality Supervision Inspection and
Quarantine, the AQSIQ, who is responsible for food and feed
export.
So our relationship is very different today from when
melamine took place. We wanted to conduct inspections at that
point in time. There were issues trying to get into China to
conduct those investigations, versus now where we have people
stationed in Beijing that have regular meetings, monthly
meetings, at the deputy director level.
Chairman Brown. You said Beijing, Shanghai, Guangzhou. U.S.
FDA posts. What does that mean in terms of size and resources?
Dr. Solomon. Correct.
There are currently 13 folks stationed in China, 8 are U.S.
citizens, 5 are foreign Chinese nationals.
Chairman Brown. Among the three or at each of the three?
Dr. Solomon. Among all three.
Chairman Brown. Okay. What is their training?
Dr. Solomon. The folks based in Beijing are mostly policy
analysts that are working directly with the central government.
The folks in Guangzhou are food inspectors. The folks in
Shanghai are drug inspectors. You may be aware that there is
additional funding in the FY 2013 budget of $10 million where
we are going to be expanding the number of inspectors, so we
are adding seven new food inspectors and nine new drug
inspectors to that list.
Chairman Brown. The figures that I have been told is we,
the FDA, inspect 2.3 percent of imported food internationally.
China's number is higher or lower than that?
Dr. Solomon. China's number of what we do physical
inspections on is around double of what we do generally with
products from around the world.
Chairman Brown. Around the world. And that is understanding
USDA's [U.S. Department of Agriculture] jurisdiction is
different from FDA. That is only FDA?
Dr. Solomon. That is only FDA products.
Chairman Brown. So that is--I forget. One does poultry and
meat, the other does fruits and vegetables.
Dr. Solomon. USDA regulates poultry and beef.
Chairman Brown. Poultry and beef. You do fruits and
vegetables and other processed foods?
Dr. Solomon. That's correct.
Chairman Brown. And you do dog treats and pet food?
Dr. Solomon. We do.
Chairman Brown. Okay. Whether that is meat-based or not?
Dr. Solomon. That's correct.
Chairman Brown. Okay.
This is an unfair question but I'm going to ask it. Rate
China's regulators, U.S. regulators as interacting with Chinese
products that come here, come to the United States, and U.S.
importers, on a scale of 1 to 10, each of them in two
categories, 10 years ago and today.
So on a scale of 1 to 10, how did U.S. regulators do in
terms of regulating products? It could be toys, could be food,
could be pharmaceuticals coming from China to the United
States. How did U.S. regulators--give me a rating there. Give
me a rating on Chinese regulators and what they did, and
improvements or not they made. Give me a relative number. Then
U.S. companies over, say, from 10 years ago and today. That is
fairly complicated and unfair, but I ask it anyway.
Dr. Solomon. So let me try and approach it. I think
everyone is paying more attention and I think a lot of it has
to do with FDA increasing the standards. So the FDA Food Safety
Modernization Act is a profound change in food safety laws that
is going to increase the safety of imported products and puts
new burdens on importers.
So there is a foreign supplier verification program, not
yet implemented but was part of the FDA Food Safety
Modernization Act, but regulations will be proposed that places
the burden on the importer to ensure that back in China, or any
other part of the world, that produce is grown under safe
conditions and that there is preventive controls at the
manufacturing facilities.
Similarly, the FDA Safety and Innovation Act is changing--
--
Chairman Brown. Wait. I know, I am going to keep
interrupting. I apologize. How do you ensure that importers are
being faithful and truthful--truthful, I guess, more than
faithful--in verifying the safety of their foreign supplier?
So how do you ensure that a U.S. company that was bringing
in toys where there were issues of lead-based paints, or a
pharmaceutical company that relies on Chinese small companies
to give them their ingredients, how do you ensure that the U.S.
importer is being truthful about the Chinese producer?
Dr. Solomon. So it's a variety of means that take place to
try and oversee it. So the supply chain, as you have stated, is
very complex. So we work on improvements with the Chinese
regulators on their oversight, building capacity with them. We
conduct inspections of the highest risk facilities. We monitor
the importers.
We have a system that has been in place called the PREDICT
System that uses sophisticated algorithms to look at the
importers' information and try to verify the veracity. Has this
importer traditionally only brought in one product and all of a
sudden they are declaring that the product is a different
product?
When the foreign supplier verification program comes into
place, we will be conducting more inspections of the importers,
to ensure that they have to have the demonstrated records to
show that the product produced, foreign or domestic products,
products from other countries, was based on the preventive
controls or the produce regulations that apply both
domestically and to foreign producers.
So it is a complex myriad of systems. This algorithm in
PREDICT is why we target more product from certain areas than
others because it is using risk-based criteria that allows us
to put our resources to examine products that pose the greatest
risks.
Chairman Brown. Okay. Thank you.
If there were a similar kind of problem of deaths from
heparin in this country, and I do not want to be an alarmist
but just the size of everything, the size of China, you would
use the term ``intricate international supply chain,'' so
something bad will happen here. Some people, pets or somebody
will be sickened because of something coming from China again.
I mean, that is no matter how well we do it, I assume. I guess
you could make that assumption.
If something comparable and as horrible as heparin happened
again, something that large, what would be our government's
response in terms of liability for the importer, in terms of
what we do with the regulatory apparatus. What would actually
be the response based on the new law you talked about and based
on our apparently learning something over the last decade?
Dr. Solomon. So a direct result of the heparin episode was
to pass, last July, the FDA Safety and Innovation Act.
Chairman Brown. Right.
Dr. Solomon. That additionally puts more burdens on the
U.S. companies here to make sure that they have quality
management systems in place that go back to their supply
chain----
Chairman Brown. And you are seeing that now? You are seeing
these companies putting better traceability, trace-back on
their supply chain, even into the smallest Chinese village?
Dr. Solomon. They are spending more attention on it. They
are on a trajectory. It has got a long ways to go, but private
industry is paying more attention back to their supply chain.
These laws are not in effect yet, but they have clearly seen
the results from heparin and they have seen the intention of
Congress and FDA to enact these controls.
So we are trying to improve the quality of information,
risk-based approaches to it, and there are new enforcement
tools that Congress gave us. So if we are not allowed to be
able to conduct an inspection in China, now those products are
not allowed into the United States.
Chairman Brown. Okay.
If that happens, if the companies are in fact doing due
diligence and something bad happens, are there liability
questions? Are there liability issues for those companies? I
mean, would we see those companies pay a penalty for not doing
what they were supposed to do, which they should have done with
heparin, having a traceability, a trace-back mechanism?
Dr. Solomon. So civil liability, I would leave to others.
But from an FDA perspective, we have increased penalties. So
for example, if there is counterfeiting of products, under the
new FDA Safety and Innovation Act there are now increased
penalties for counterfeiting of products.
Chairman Brown. What are those penalties?
Dr. Solomon. There are new sentencing guidelines that have
been put in place to allow that sentencing for criminal
activities of counterfeiting are now more stringent than they
were before.
Chairman Brown. Would that be U.S. executives of those
companies that----
Dr. Solomon. That would be the responsible party for that
counterfeiting.
Chairman Brown. So if a U.S. toy manufacturer brings in
products with a high concentration of lead-based paint, it is
possible executives would go to jail?
Dr. Solomon. Once again, we need to look at the details of
specific cases, but there are criminal penalties that are in
place for counterfeiting or criminal activities.
Chairman Brown. Okay. You never did give--but I know
because I kept interrupting you--me numbers. Let me ask that a
different way, the question--the more obnoxious question I
asked a minute ago. If Chinese regulators--I will try to do it
this way.
If Chinese regulators were a 5 on a scale of 1 to 10, 10
years ago, what would they be now? If U.S. regulators were a 5
on a scale of 1 to 10, 10 years ago, what would they be now? If
U.S. companies, on their corporate responsibility and
traceability, track-back, were a 5 on a scale of 1 to 10, 10
years ago, what would each of them be today?
Dr. Solomon. It is tough to sort of categorize, as I am
sure you appreciate, kind of each company. They are all on a
trajectory to try and improve those pieces. FDA is improving
its relationship. There are issues in relation to the central
government in China and the relationships to the provincial and
local governments, not unlike issues in the United States where
we spend a lot of time investing in and developing an
integrated national food safety system.
We spend a lot of efforts trying to work with our State,
local, regulatory, and public health counterparts, exercising
our response teams, putting new standards in places. They have
a long ways to go in trying to build that type of integrated
system, but the central government is putting new laws into
place, they are investing more resources, they are better
understanding our new standards and requirements. There is a
lot of learning that still needs to take place.
They spend a lot of time and effort focusing on testing of
products. We believe the better approach is understanding
manufacturing processes and controls, the process needs to be
day-in and day-out controlled, so we are working with them to
try and enhance their understanding that their laboratories are
fairly sophisticated and can do a lot of analytical testing.
But the answer is not just laboratory testing and analytical
testing of products, but also ensuring that the processes are
controlled to produce safe products.
Chairman Brown. Okay.
I recognize your challenge. I know there is enough anti-
government sentiment in both chambers of this body, and
sometimes it is certainly unfair, that when you think about the
challenge of inspecting products in a country of 1.3 billion,
let alone in a country of 300 million, the challenges there,
and when we are not willing to devote very many resources
relative in terms of dollars appropriations to expect so much
of you.
Let me pose one question. My wife and I--our children are
grown--about a year and a half ago bought a dog we named
Franklin, named after my favorite President, if that tells you
something about my politics. My daughter said it is finally the
son we always wanted, but that is a whole other story. Would
you recommend that we not buy dog food for Franklin made in
China?
Dr. Solomon. So I think most dog food is--very little dog
food is made----
Chairman Brown. Or pet treats. Let me ask, any of
Franklin's diet. Would you buy none of it in China?
Dr. Solomon. So the safety----
Chairman Brown. Or do you not like dogs. Do you like dogs?
Dr. Solomon. I do. I am a veterinarian and I am a pet
owner.
Chairman Brown. That does not mean you like dogs because
you are a veterinarian. I know some doctors who do not like
people that much.
[Laughter].
Chairman Brown. I know politicians that don't like people
that much. Okay. Start again.
Dr. Solomon. So, pet treats are not a necessary part of a
dog's diet. It's not part of a necessary, balanced diet that
they need to have, so I don't feed them to my dog because they
are an unnecessary part of their diet.
Chairman Brown. And you didn't let your children have candy
either?
[Laughter].
Chairman Brown. All right. Thank you both for joining us.
We will call up the next panel.
Welcome. I'd like to introduce the three panelists and then
hear their statements, then we'll go to questions. My
understanding is Congressman Smith is voting. His arrival is,
we hope, still imminent.
Dr. Jennifer Turner is director of the China Environment
Forum at the Woodrow Wilson Center and a noted expert on
China's environmental energy issues. Her current projects
include an initiative uncovering how energy is impacting water
in China, research and exchanges on U.S.-China energy and
climate cooperation, and meetings and research examining
environmental impact of Chinese investment overseas. She is
also editor of the Wilson Center's journal, the China
Environment Series. Dr. Turner, welcome.
Dr. Yanzhong Huang is a Senior Fellow for Global Health at
the Council on Foreign Relations and Associate Professor and
Director of the Center for Global Health Studies at the John C.
Whitehead School of Diplomacy and International Relations at
Seton Hall. Dr. Huang has written extensively on global health
and public health in China, and U.S. relations with China. His
articles and op-eds have appeared in the New York Times and
Foreign Affairs. He has a new book titled, ``Governing Health
in Contemporary China.'' Welcome, Dr. Huang.
Tony Corbo is Senior Lobbyist for the Food Program at Food
& Water Watch, responsible for food-related legislative and
regulatory issues that come before the Senate and the House and
the executive branch. Mr. Corbo has extensive organizing
experience, having directed major public employee
representation campaigns in several States. Thank you for doing
that. My daughter did that for a living for a number of years.
Dr. Turner?
STATEMENT OF JENNIFER TURNER, DIRECTOR, CHINA ENVIRONMENT
FORUM, WOODROW WILSON CENTER
Ms. Turner. Thank you for inviting me. I am looking forward
to those hard questions later on.
I am sitting in Liz Economy's place, initially, here, but
she and I agree on a lot of things so I think hopefully you
will get some of the same or similar stories.
The Chinese Central Government is not known for its
transparency. We recall not too long ago--I think you list
history--in 1994 doing my dissertation work on Chinese water
policy implementation, the most benign government documents
were secret. Today, happily in my work at the Wilson Center,
there is a lot of access. It is very exciting. I get to gather
lots of data and work with organizations in China focused on
solutions to energy and environmental problems. So there has
been a lot of changes over the last 10, 12 years.
Another big change in the past few years. The Chinese
public is demanding more openness around pollution issues, a
big change from when I was first in China. After decades of
these laws and targets to clean up the environment, the Chinese
public actually believes they have a right to a clean
environment. With the Internet, they are starting to have tools
to actually demand and put voice to these kinds of claims.
They do not just have to march out onto the street; in
fact, a lot of these urbanites--and they are the ones who do
tend to have the voice--are finding that they can be quite
effective, at least in some more recent cases like the smog
that was blanketing Beijing which has been going on for several
years.
Over these past few years we have seen Chinese netizens who
started to put pressure and successfully demand that Beijing
start measuring small particulate pollution and also use
standards that are closer to the United States. They did not
really like that their standard said ``fair'' when the U.S.
standard said ``hazardous, run inside.''
Another good change that really has also encouraged the
public to demand information is that in 2008 the Ministry of
Environmental Protection passed an open environmental
information measure that said you have a right to ask for this
information. It is a new tool. It does not always work--not too
surprising.
But then most recently in a case that did not work that has
made the headlines, and I think that is striking, the Chinese
news media actually criticized the Ministry of Environmental
Protection for not disclosing the soil pollution survey. The
survey probably has lots of not-so-happy information about soil
quality in China.
The Ministry of Environmental Protection said, ``Well, no,
it is a state secret,'' then they changed their mind and said,
``Well, no, it is incomplete data, we will disclose it when we
get better.''
But I actually think one of the real reasons they are not
quite ready to disclose it is that they do not have the laws
and regulations to really deal with soil pollution. What are
the standards? What is the compensation? So if you release this
information, the public's demand is going to say, ``Well, what
do we do? '' We do not have the tools yet.
So it is an example that I talk a little bit more about in
my written testimony, about how you have these new open
information--transparency, public right to participate, but
these mechanisms and tools do not always work when other parts
of the environmental governance system are incomplete.
On the good news side, Liz and I both talk about Ma Jun, an
environmental activist who has used government data to create
online water and air pollution databases. It has gotten the
attention of not just the Chinese Government, but international
and Chinese businesses, sparking a kind of greening of supply
chains so instead of going to the government and saying you
need to enforce this, going directly to the companies--often
that are owned by the government--to actually naming and
shaming so they do enforce.
Taking his transparency work even further, Ma Jun has
started working with the Natural Resources Defense Council in
2009 to create a Pollution Information Transparency Index. It
ranked 113 cities on how well they were disclosing information.
They were not doing it very well, but what's interesting, they
were able to keep going back and gathering this information,
doing this index, and it is becoming more of kind of an
education for the city officials and how the city officials are
saying, ``Oh, this is a tool that we can use,'' because the
city officials, they, too, are blanketed with this smog and it
is affecting their health. So again, kind of institutions in
waiting.
Public interest lawsuits are also a work in progress. In
2007, we started seeing lawyers and non-governmental
organizations [NGOs] trying to bring pollution cases in the
public interest, that they were not injured themselves but
because the Songhua River was polluted, or more recently
cadmium tailings were dumped in a rural community in Hunan
province, highly toxic. What is striking is that in a 2011 case
two Chinese NGOs, independent NGOs, were actually able to bring
the case to court because Hunan had provisions that granted
them the standing.
Now, as of January this year there is standing for NGOs and
other organizations that want to bring public interest
lawsuits, but as you mentioned in your introduction the
judiciary is not necessarily that independent. Local courts do
not maybe want to take this giant pollution case if it is a
company that is giving a lot of tax to the local government.
China has created another institution-in-waiting, these
environmental law courts. There are about 90 of them. They have
not been taking that many hard-hitting cases yet so there is
some speculation, now that there are actually rules on the book
that NGOs have standing, that maybe these environmental courts
could really start turning into something more effective.
I will wrap up. There are lots of NGOs, research
organizations, and the U.S. EPA [Environmental Protection
Agency] working with China on some of these open information
and transparency laws and regulations, trying to help to build
the capacity. And I think because the Chinese Government is
seeing--well, because they cannot see because of the smog--that
the pollution problems are costing the economy. A lot of people
in my network are seeing that there is more opening to working
with China on these issues.
So I am going to halt there, and I am looking forward to
your questions.
Chairman Brown. Thank you, Doctor.
Dr. Huang, welcome.
[The prepared statement of Ms. Turner appears in the
appendix.]
STATEMENT OF YANZHONG HUANG, SENIOR FELLOW FOR GLOBAL HEALTH,
COUNCIL ON FOREIGN RELATIONS; ASSOCIATE PROFESSOR AND DIRECTOR,
CENTER FOR GLOBAL HEALTH STUDIES, SETON HALL UNIVERSITY
Mr. Huang. Thank you, Senator Brown, for inviting me, I am
honored to be here again. Ten years ago, I testified in the
same place on China's SARS crisis, so I am glad to be back.
Today I am going to talk about China's public health
hazards, especially in regard to its handling of public health
emergencies of international concern, such as the H7N9
outbreak. Dr. Schuchat has already spoken about how China is
becoming more transparent and also more collaborative in
sharing disease-related information and risk communication, so
I am not going to repeat what she said.
I think it would be useful for us to ask the following
question: Is China's move toward greater transparency in
disease-related information sharing and risk communication
irreversible?
I have a very mixed answer to that question. On one hand,
the government has built up its capacity in responding to
disease outbreaks. It is overall compliant with the
International Health Regulations, the international law that
requires governments to report public health emergencies of
international concern in a timely and accurate manner.
On the other hand, I also found that the central-local gap
in epidemiology and laboratory capacities, that is, their
capacity to correctly and swiftly identify emerging infections,
could be a major challenge--especially when the gap is coupled
with an authoritarian political structure. The gap could
contribute to sustained coverups, under-reporting or even
misreporting at the sub-national level, as we saw in 2009
during the H1N1 pandemic.
Also, when health is increasingly viewed as a high politics
issue on the government agenda, the response to public health
emergencies can potentially be hijacked by domestic political
considerations. This we also saw in 2009 during the H1N1
pandemic. H1N1 happened at a time when China was about to
celebrate the 60th anniversary of the founding of the People's
Republic of China. The government did not want to ruin the
party, and the socio-political stability became such a dominant
concern for the government leaders and that contributed to the
lingering coverup of the fatality cases of H1N1. So if you look
at the H7N9 outbreak, one of the reasons behind greater
transparency was that there were not that many significant
political events overlapping at the same time as the outbreak.
Also, I think it is worth pointing out that China still
does not have robust civil society organizations participating
in the process of disease reporting, even though the
International Health Regulations, revised in 2005,
legitimatized the non-governmental actors' role in disease
surveillance. Indeed, the number and size of health-related
NGOs in China remain very small and a vast majority of them are
heavily dependent upon international donors for support. Few
NGOs, if any, work on public health emergencies, and most of
them are focused on one area: HIV/AIDS prevention and control.
So in that sense I am not that optimistic about improved
transparency and open communication in future outbreaks. In
fact, if you look at the H7N9 outbreak, what worries me is not
whether China is going to be more transparent or not. What
worries me is the prospect of overreaction to a disease
outbreak.
As I previously mentioned, when health becomes a high
politics issue and the government attaches so much importance
on the disease outbreak, it could lead to a bandwagon effect at
the local level in policy implementation. The local leaders
will try to become ``more Catholic than the Pope,'' so to
speak, which could trigger the dynamics that lead to government
overreaction, potentially compromising individual privacy and
human rights in China. We actually saw this happen in 2009; for
example, the father of the second confirmed H1N1 case had to
publicly apologize for his son being sick on government TV.
Chairman Brown. Thank you, Dr. Huang.
Mr. Corbo?
[The prepared statement of Mr. Huang appears in the
appendix.]
STATEMENT OF TONY CORBO, SENIOR LOBBYIST, THE FOOD PROGRAM,
FOOD & WATER WATCH
Mr. Corbo. Senator Brown, my name is Tony Corbo and I am
the senior lobbyist for the Food Program at the not-for-profit
consumer advocacy organization, Food & Water Watch. We were
founded in November 2005. Prior to that, we were part of Public
Citizen and one of your staffers had to deal with my rants down
the hall on a continual basis because we were neighbors.
We currently represent some 500,000 members and supporters
on a variety of issues affecting the food and seafood we eat
and the water we drink. We commend you and your leadership for
holding this hearing, and thank you for inviting us to share
our views.
Food & Water Watch has been interested in the issue of
Chinese food safety just about from our organization's
inception because it was on November 23, 2005, that USDA's Food
Safety and Inspection Service [FSIS] proposed a regulation that
would list the People's Republic of China as a country eligible
to export poultry products to the United States.
To be able to do that, FSIS would have had to have found
China to have an equivalent food safety system to that of the
United States. In reviewing the audits conducted by FSIS
personnel, we were perplexed why FSIS was moving forward. Some
of the poultry plants they visited had serious sanitation
issues, and in many of the plants there were no government
inspectors present. The poultry was being inspected and passed
for its safety by company-paid employees.
What also seemed problematic to us was the fact that China
was ground zero for several outbreaks of highly pathogenic H5N1
avian influenza that affected hundreds of thousands of birds in
China, and it also killed a number of Chinese citizens. The
Chinese Government had kept secret some of the early outbreaks
of this animal disease.
Most of the comments that FSIS received on the proposed
rule were in opposition, including comments filed by Food &
Water Watch. Ironically, the only comments that were filed in
support of the proposed rule came from Chinese entrepreneurs
who proclaimed the safety of their poultry.
In April 2006, FSIS finalized the rule but placed some
restrictions on what could be exported to the United States.
China was not authorized to slaughter its own poultry to export
to the United States, instead the poultry it exported to the
United States had to be cooked and raw poultry had to originate
from approved sources.
At the time of the rule, the only approved sources were the
United States and Canada. So North American poultry slaughter
facilities could send raw product to China for cooking so that
it could be exported back to the United States.
We discovered through documents we received through a
Freedom of Information Act request that the Animal and Plant
Health Inspection Service [APHIS] at USDA was very concerned
about the lack of transparency displayed by the Chinese
Government of the avian influenza outbreaks in that country, so
APHIS wanted to ensure that we were not importing poultry meat
from sick birds.
China never certified any of its plants to export under the
April 2006 rule because they were interested in exporting their
own poultry products to the United States. Congress eventually
took action and prohibited FSIS from moving forward with
implementing any regulation that would permit the importation
of poultry products from China.
China eventually filed a WTO--World Trade Organization--
complaint that was eventually sustained, but even before the
final WTO ruling was published the congressional ban was lifted
in 2010. China was very slow to invite FSIS back to renew the
audit process. The most recent audit took place in March of
this year. We still have not imported any poultry meat for
human consumption.
In the meantime, the number of Chinese food exports that
fall under the jurisdiction of the Food and Drug Administration
has skyrocketed, to the point where 80 percent of the tilapia
we are consuming in the United States is imported from China,
nearly two-thirds of the apple juice we consume in the United
States is imported from China, over half of the codfish we
consume in the United States is imported from China, and about
a third of the mushrooms we consume, yes, is also imported from
China.
Unlike FSIS, the FDA does not have the same regulatory
apparatus to recognize exporting countries' food safety systems
before they can export. While the Congress passed, and
President Obama signed into law, the Food Safety Modernization
Act that contains provisions that enhance FDA's ability to
regulate the safety of imported food, that law has not been
fully implemented.
So our primary line of defense at FDA for food imports, for
food products imported under its jurisdiction, is port of entry
inspection. In good years, FDA conducts inspections of about 2
percent of imported food products.
Now, I want to get back to the chicken issue to expose some
holes in our regulatory system. While poultry for human
consumption is regulated by USDA, if those poultry products, as
you have already pointed out, are turned into pet food they
fall under FDA's jurisdiction. While China has been waiting for
a green light to export their poultry to the United States for
human consumption, it discovered that it could still export
poultry meat to the United States if it were turned into pet
food.
Over the past decade, the volume of imported pet food from
China has increased 85-fold. In 2007, FDA started to receive
reports from dog owners that their pets were getting sick from
consuming chicken jerky treats imported from China.
The FDA has issued several warnings to pet owners, urging
them not to feed their dogs Chinese jerky treats. As pets
actually died and more got sick from eating these products,
several Members of Congress, including you, Senator Brown,
called on the FDA to conduct physical inspections of the
Chinese pet food manufacturing facilities.
In March and April 2012, FDA conducted inspections of those
facilities in China. When FDA inspectors asked that they be
able to take samples of those products for analysis in FDA
labs, the Chinese Government refused.
FDA was able to stop the importation of pet treats from one
of those plants it visited because of falsification of records.
That plant claimed that it had been importing industrial grade
glycerin from Malaysia to make its pet treats instead of food
grade glycerin. We suspect that the Chinese pet food
manufacturer did that to avoid paying higher tariffs.
When FDA inspectors visited that Malaysian ingredients
manufacturer in August 2012, they were able to take samples of
the plant's products so that they could be tested in FDA labs.
FDA was eventually able to confirm that food grade glycerin was
actually being used in those pet treats.
To this day, we still do not know why these pets are dying
and getting ill from imported pet treats from China. Certain
products have been recalled because the New York State
Department of Agricultural Markets found that some of the pet
treats imported from China contained residues of antibiotics
that were not approved here in the United States.
There have been numerous food safety scandals in China. The
melamine situation and the infant formula is the most
notorious. China, as has already been pointed out, does not
have a free and independent consumer movement that can
challenge the government's actions, or inaction, on food safety
issues. As the volume of imports continues to increase in this
country, we really do need to give our regulatory agencies the
tools and the resources to ensure that these products are safe
for Americans to eat.
Thank you very much.
[The prepared statement of Mr. Corbo appears in the
appendix.]
Chairman Brown. Thank you, Mr. Corbo. Thank you very much
for your testimony, all three of you.
Dr. Turner, if we conclude that things are improving in the
regulatory, environmental, and public health, with many
exceptions but are generally going the right way, do you find
that--you talked about state-owned enterprises in one sentence
in your testimony--do you find that their behavior is better or
worse than private companies in China than the whole? Can you
make a judgment like that?
Ms. Turner. No, I think that is very difficult.
Chairman Brown. Where do you see the improvements in
production, in manufacturing, and among companies? Where are
the improvements and where are they least likely to improve, or
is there least evidence of improvement?
Ms. Turner. Well, I mean, it is a work in progress. I mean,
we do have cases where either the environmental watchdogs call
out a company that is polluting or the citizens themselves go
to the streets. Also, cases you probably heard were actually--
the people don't actually--when I was in Zhejiang province,
actually the farmers went and ripped the factory apart with
their own hands. So, that factory was closed.
But the challenge is that sometimes when there are
protests, cities--urbanites used the open information to
condemn a factory that is polluting, it is NIMBY [not in my
backyard], and then these factories pack up and they move
further inland, where the economies are not as rich and the
likelihood of protest maybe is less, or sometimes the protest
cycle starts again.
It is really hard to say. When I talk about Ma Jun and some
of these other NGOs that Liz and I mentioned, they are still
not huge in number but they have been trying to work to use the
Internet to kind of highlight these kinds of problems within
the industry and we are starting to see some other NGOs
developing in the provinces to try to follow Ma Jun's example
of using open information, creating networks of volunteers to
put pressure on companies and working with local governments.
So I mean right now I don't--I mean, that's an excellent
question about where we see the trends of who is improving. I
think that you could see that on the East Coast in the
developed areas because even the governments themselves are
wanting to move the dirty industries out, so sometimes they're
closed and sometimes they just move.
Chairman Brown. The environmental movement, such as it is,
I assume is more likely in the cities. There are more people,
there is more education, there is more pollution. But you are
seeing the origins of some protests and environmental movement
in smaller communities?
Ms. Turner. I mean, a few years back when the Public
Security Bureau was reporting public protests, that in that
number they were including mass protests in rural areas. We
don't know the actual total number these days, but you do get
Chinese news media reports talking about protests in rural
areas and those often turn quite violent. The urban ones tend
to be a little bit more peaceful, power numbers, and it's all
on YouTube.
Again, they are in the cities and the government is
concerned about that. I think that that is an area where that
is--you know, mind the gap. That while urbanites are able--you
know, again, even when the Chinese--like in the Beijing example
with the smog, where now Beijing is--in the country they are
starting to measure PM2.5, their standards, and they are
starting to say, ``Okay, coal-fired powerplants are going to
have to reduce their PM2.5, empowering the Ministry of
Environmental Protection to regulate them.
I mean, there are a lot of positive changes. But as this is
happening, China's energy consumption is still growing like
gangbusters and so a lot of that is coal. So even as China
makes these improvements, you are not going to see an overnight
improvement of quality.
So there are some questions. Liz talked about in her
testimony about the central government being a little unsure
where to go on this whole transparency issue, because while
they do start taking some steps the actual progress on really
cleaning up the environment could take a long time, again, even
if you started now.
Chairman Brown. Are Chinese companies, state-owned or
otherwise, that invest in Africa or in the developing world
generally, are they more environmentally responsible or are
they less environmentally responsible where they invest outside
the People's Republic of China than inside?
Ms. Turner. Thanks for asking that question. We have
actually been doing a series of meetings over the last couple
of years, so we call it complex connections, looking at Chinese
overseas investment. It really is a mixed bag. There are some,
Friends of the Earth, Heritage Foundation that are looking at
these Chinese investments, come and relate stories to me that
some Chinese companies that are concerned about their global
profile are starting to make decisions to be cleaner and
greener.
But then you do have instances--let's think about
agricultural investments overseas. Okay. Take two steps back.
Big companies like the oil companies, the extractive industries
that have a global name, they might be more concerned about
working on their environmental profile.
We are starting to see though it's a new trend of
provincial-level companies going out and making investments in
the agricultural sector. These are much smaller, not as much
transparency. Their names probably change every few weeks. So
there is no one really necessarily minding the shop on how a
lot of, particularly these smaller companies are doing
overseas.
But I'm happy to say that there is more transparency and
engagement, a lot of international--you know, the World
Resources Institute, NRDC, and others, the Nature Conservancy,
Conversation International, are working and talking to Chinese
companies and government about this whole question of Chinese
overseas investment and their footprint. So, they are talking.
Chairman Brown. Okay. Thank you.
Dr. Huang, you were pretty vigorously nodding your head
when she was talking about demonstrations, sometimes violent,
in smaller communities. What were you thinking?
Mr. Huang. I think in a way it reflects the response toward
the environmental pollution problems in China. It reflects the
part of this process in emerging Chinese civil society in a way
that is similar to what was going on in Japan in the 1960s and
early 1970s. The citizens' movement there actually forced the
government to make concessions, to start to take environmental
problems seriously.
I hope that China would follow Japan's path in that regard.
While the situation in China today seems much worse if you look
at the PM2.5 level, I do hope there is a solution to the
problem.
Chairman Brown. You said, since you're not that optimistic,
but let me ask you a sort of broader question. In the 1970s, I
think, maybe early 1980s, there were some cracks in Soviet
authoritarianism when a group of scientists and other citizens
began to protest about Lake Baikal, one of the largest bodies
of fresh water in the world, the deepest lake, where the
Soviets had put a lot of paper mills, and in Siberia where
there were not a lot of people living, some, people without
much power, the central government. Some say that was sort of
one of the first cracks in the Soviet system in terms of a
democracy movement. Does the environmental movement sort of
lead the way in China on human rights, on democracy?
Mr. Huang. Jennifer probably knows more than I do about
this. I do think that the environment-oriented NGOs are
actually the most active part of the civil society in China. If
you compare them with health NGOs, certainly they are more
active, and they are also more effective in a way. But if you
compare them with their Russian counterparts, the difference is
indeed large.
We do see examples of public intellectuals, such as Hewei
Fang and Li Chengpeng, who were very outspoken. But overall, I
don't see that that many Chinese intellectuals--university
professors, for example--are a part of the process.
In a way, I think that might be related to the government's
efforts since 1989 to co-opt intellectuals by improving their
living conditions and aiming to make them happy, which made
them less willing to speak out against the government.
Chairman Brown. Okay. Thank you, Dr. Huang.
Mr. Corbo, you talked about the implementation of the new
food safety law being incomplete. What are the most important
things that Congress should do? What are the most important
parts that are not yet implemented and what should Congress do
to make sure that they are? What do you suggest to us? You are
an organizer, so you ought to know that.
Mr. Corbo. Yes. Well, we've tried. The major rules have
been stuck in the Office of Management and Budget [OMB] for an
inordinate amount of time. Now, two of the rules did manage to
get out, the one that deals with preventive controls in
processing and then the produce rules, but the comment periods
have been extended.
When the law was passed, Congress set statutory deadlines
that the major regulations, the produce rule, the preventive
controls rule, the foreign supplier verification program needed
to be implemented by July 4, 2012.
Here we are in May 2013 and those rules have not been
implemented. As a matter of fact, the foreign supplier
verification rule that got sent over to OMB by FDA, I believe
it was November 2011, is still there. It has not come out in
proposed form. I know that a number of Members of Congress have
sent communications to the Office of Management and Budget to
release those rules.
We just are perplexed as to why they are stuck there. I
mean, FDA does need the regulatory apparatus in order to deal
with this ever-increasing flow of imports. FDA cannot keep up
with the volume and so those rules that were outlined have to
be implemented and we have to get the comment period going.
Chairman Brown. Other than poultry, what foods and drugs
from China pose the greatest threat to Americans' health?
Mr. Corbo. Well, I've talked to various former FDA
inspectors and they think that the medical devices we import
and the drugs we import pose a greater risk because of the fact
that we really do not have a handle on the manufacturing
practices in China.
Food is our expertise and we are concerned. We are
concerned about the safety of the food that is coming into this
country. This pet treat thing is something that we originally
were not going to get involved in. It just happened by pure
accident that last year, after coming back from a meeting at
USDA asking them what is the status of the poultry exports from
China for human consumption, then when I got back to the office
all of a sudden I saw this alert from FDA warning pet owners
not to feed their pets Chinese jerky treats, chicken jerky
treats, that set us on the path to find out what was going on
here. How was this product getting in?
Chairman Brown. Thank you, Mr. Corbo.
Dr. Turner, thank you. Dr. Huang, thank you. Mr. Corbo,
thank you. We will have--I would like to enter Cochairman
Smith's statement and Elizabeth Economy's statement also into
the record. If any commission members have questions of you, we
will get them to you quickly. Please answer them within a week.
Thank you again for being here. The Commission hearing is
adjourned. Thank you all.
[The prepared statement of Cochairman Smith appears in the
appendix.]
[The prepared statement of Elizabeth Economy appears in the
appendix.]
[Whereupon, at 11:22 a.m., the hearing was concluded.]
A P P E N D I X
=======================================================================
Prepared Statements
----------
Prepared Statement of RADM Anne Schuchat, M.D.
may 22, 2013
Thank you, Senator Brown, Representative Smith and distinguished
members of the Commission. It is a pleasure to appear before you
representing the U.S. Centers for Disease Control and Prevention (CDC),
one of the Nation's leading health protection agencies and an operating
division of the Department of Health and Human Services. Throughout its
history, CDC and its local, national, and international partners have
worked to detect, respond to and prevent global health security
threats. Today I would like to focus on how CDC's collaborations with
China help to protect Americans' health and well-being, while
supporting China's efforts to protect the health of its own citizens.
cdc's global health efforts
CDC's global health mission is to protect and improve health
globally through science, policy, and evidence-based public health
action. CDC works in global health to protect the people of the United
States; prevent disease; contribute to stable, productive societies;
and save lives worldwide. CDC achieves its global health mission by
leveraging its core technical strengths and partnerships. The Agency's
world-class capacity to respond to disease outbreaks and other public
health emergencies, our staff on the ground in approximately 55
countries, and our peer-to-peer working relationships with Ministries
of Health, enables CDC to be on the scene early in events of public
health concern. CDC strives not only to implement programs around the
world to improve health, but also to build sustainable in-country
capacity, institutions, partnerships, and systems to address global
public health issues.
cdc in china
China is an important geopolitical and public health partner for
the United States. CDC and the Chinese government have collaborated on
public health priorities that affect China, the United States, and the
global community for more than 30 years. CDC focuses its work in China
on emerging and re-emerging infectious diseases, immunization, non-
communicable diseases, emergency preparedness, laboratory systems
development, epidemiology training, communications, and public health
workforce development.
CDC's work in China is conducted through partnerships with Chinese
public health institutions at the national, provincial and local level,
as well as Chinese academic institutions and non-governmental
organizations. In addition, the CDC works with American companies,
foundations and universities as well as multilateral organizations such
as the World Health Organization (WHO) to achieve our public health
goals in China. CDC's collaborative projects across China have built
strong bilateral relationships between China and the United States, and
also help to shape China's own multilateral and bilateral engagements
on global health. A sign of the strength of these collaborations is
China's decision to designate their district, provincial, and national
public health institutes ``CDCs''.
Since the early 1990s CDC has had at least one technical staff
member assigned to China, and the earliest assignees worked on birth
defects and immunization. In 2003, China was the epicenter for the
global outbreak of Severe Acute Respiratory Syndrome, or SARS.
Disruption in travel, trade, and local economies led to over 30 billion
dollars in economic losses to affected countries. China and the world
suffered from the initial lack of transparency and delays in
confronting their epidemic. They subsequently invested heavily in
improving their public health infrastructure, which helped them host
the 2008 Olympics in Beijing and contributed to their effective
response to the 2009 H1N1 influenza pandemic. Thus far, their efforts
in the 2013 H7N9 case have demonstrated tremendous advancements.
CDC's Global AIDS Program office in China was established in 2003-
2004 with funding from the U.S. President's Emergency Plan for AIDS
Relief (PEPFAR). CDC works closely with the Chinese national response
to HIV/AIDS, led by the National Center for AIDS/STD Prevention and
Control at the Chinese Center for Disease Control and Prevention (China
CDC). The Chinese government provides funding for anti-retroviral
treatment for all eligible patients, while CDC provides technical
assistance on guideline and policy development; innovative approaches
to care, treatment and prevention; strategic information; and
laboratory systems development. The collaboration relies on a data-
driven, evidence-based approach to prevent and control HIV, especially
in high-risk groups.
Although CDC began influenza collaboration with China in the late
1980s, the Memorandum of Understanding on Emerging and Re-emerging
Infectious Diseases between the U.S. Department of Health and Human
Services (HHS) and the Chinese Ministry of Health helped formalize the
relationship on infectious Diseases. In 2004 CDC established a
cooperative agreement with China CDC in response to the emergence of
human infections of avian influenza H5N1 virus. Since then, US CDC and
China CDC cooperative agreements have improved China's influenza
surveillance network and also strengthened influenza response capacity
at all levels.
CDC's Global Disease Detection (GDD) program works to identify and
contain infectious disease outbreaks before they spread globally. The
China GDD program began in 2005 to strengthen China's national capacity
to detect and respond to emerging threats, building on lessons learned
from the response to the Severe Acute Respiratory Syndrome (SARS)
emergency. I was in China to assist WHO with the SARS response in 2003,
and have seen the extraordinary progress in their public health
response and capacity since then.
CDC first established the Field Epidemiology Training Program, to
train ``disease detectives'' to lead investigations and effective
responses to public health threats. Through this effort, more than 100
of China's top epidemiologists are now able to respond to health
emergencies in China. China's FETP began with a focus on tuberculosis
(TB), and expanded to include laboratory capacity, foodborne disease,
healthcare associated infections, hepatitis, non-communicable disease,
and public health emergency response. FETP staff from China and the
United States has helped conduct approximately 500 outbreak
investigations since 2003.
Our partnership with China also now supports critical public health
priorities in other countries, including Chinese staff participation in
the CDC-WHO Stop Transmission Of Polio (STOP) missions, further
enabling China to fulfill its goal of becoming a global health response
partner.
The close collaboration between the United States and China CDC has
yielded important results, including the designation of the Chinese
National Influenza Center in October 2010 as one of five WHO
Collaborating Centers for Reference and Research on Influenza--the only
such Center in a low or middle-income country. In addition, together we
have made positive strides in the capacity of the Chinese to respond to
public health emergencies as demonstrated by the 2011 response to an
outbreak of polio in China's Xinjiang province, which was caused by a
poliovirus imported from Pakistan. China's immediate and effective
response was described as ``a true model response'' by WHO.
China's large population and strong capacity to conduct
sophisticated research has facilitated key studies that answer
questions of global import. Research conducted in China by CDC with
Chinese collaborators provided critical data that supported the
decision of the U.S. Food and Drug Administration in 1996 to require
all United States manufacturers of enriched cereal grain products to
fortify those products with folic acid. As a result of this decision,
the rates of spina bifida and other serious birth defects of the brain
and spine have decreased significantly in the United States and in
other countries that have implemented similar policies. Furthermore,
continued collaboration with the Chinese using the original research
infrastructure developed for the original study has allowed CDC to
answer questions about the safety of the United States folic acid
fortification program. Currently, plans are underway to initiate
additional research using this collaborative platform to evaluate the
potential of folic acid consumption during pregnancy to reduce
childhood cancer. China is also implementing one of the largest
community trials of salt reduction and hypertension management, which
has the potential to have impact on heart disease and stroke
prevention.
avian influenza a (h7n9)
Right now in China, authorities have moved aggressively to limit
the spread of avian influenza A (H7N9). This strain had never been
detected in humans until March of this year. The government in China is
working to monitor the illness, share information quickly and intervene
aggressively. The support provided by CDC through our cooperative
agreements for influenza has emphasized the integration of virologic
and epidemiologic surveillance in the interest of obtaining the most
complete picture possible of influenza activity. CDC's technical
collaboration with China over the past decade has contributed to the
ability of Chinese laboratory scientists to rapidly sequence the genome
of multiple viral isolates of avian influenza A (H7N9), and post
sequence data promptly for others to see. China has shown expertise and
transparency during the avian influenza A (H7N9) response both in terms
of epidemiologic information-sharing with global public agencies, as
well as timely health communications to the public. These collaborative
efforts are essential to the health security of both the American and
Chinese people. The Chinese public health capacity is now greatly
improved and our information about the evolving situation is much more
complete than was the case with SARS 10 years ago.
For instance, the number of influenza like illness (ILI) sentinel
surveillance sites in China has increased from 92 in 2005 to 554 in
2013, greatly expanding the geographic reach and representativeness of
their surveillance network. The number of network labs capable of
testing for influenza has grown from 63 to 409. China has also enhanced
the complexity of laboratory tests done for characterization of
influenza viruses. With these expansions comes a much greater
contribution to the ability to monitor influenza activity globally,
contribute viruses to the WHO Global Influenza Surveillance and
Response System and to detect outbreaks and unusual cases of
respiratory infection. The improved global network has not only
strengthened China's preparedness, but also aided the global public
health community with the detection of unusual respiratory disease
activity and the early detection of avian influenza A (H7N9). The
bottom-line with avian influenza A (H7N9) is that China continues to
collaborate with the CDC and has welcomed United States collaboration.
global health security threats
We believe the sustained support for our work in China directly
protects Americans. Unfortunately, over 80 percent of countries around
the world still lack the essential resources and sufficient health
infrastructure to detect, assess, notify, and respond to public health
emergencies of international concern.
CDC helps promote compliance and coordination for the United States
and WHO member states, and supports WHO member states with limited
resources to develop and fully implement essential detection and
control capacities. CDC's global health resources support countries to
fulfill these commitments by strengthening networks of laboratories,
surveillance systems, and training programs in field epidemiology,
laboratory science, and risk communication.
CDC strives to address global health security threats
comprehensively through activities that work on multiple, complementary
levels by detecting threats early; responding effectively; to
containing disease outbreaks; communicating risks; and preventing
avoidable catastrophes by working with other USG agencies to ensure the
global food, drug, and medical device supply is safe. CDC partners with
governments to improve the safety and security of their laboratories
and other facilities that work with dangerous organisms to prevent the
intentional or unintentional release of disease agents.
China has been an engaged partner in efforts to strengthen global
health security, and CDC's partnership has led the Chinese government
to make significant investments in their own capacity to detect and
respond to health threats. However, most of the world has not made
these commitments or reached China's level of capacity, and United
States leadership is needed to protect Americans and the world.
conclusion: the value of partnership
China has been an important partner to align short-and long-term
United States strategic, economic and health protection interests. The
recent experience with avian influenza A (H7N9) has thus far shown that
strategic investments in human capacity can yield important impacts on
illness prevented and lives saved. In addition, continued deployment
and expansion of resources on the ground will ensure U.S. leverage in
Global Health Security as China rapidly expands its public health
assets, with support from both domestic resources and other
international partners. China has choices among its numerous
international partnerships influencing the development of burgeoning
public health system. The United States' continued involvement will
ensure influence at critical points in China public health security
development. Given the interconnectedness of global travel and trade,
the rise of emerging and re-emerging disease threats, and the potential
for deadly pathogens or products to be inadvertently or intentionally
released, continued investment in technical assistance and broader
partnership with China and the world remain strategically important for
United States interests and global public health.
______
Prepared Statement of Steven M. Solomon, D.V.M., M.P.H.
may 22, 2013
introduction
Good Morning, Chairman Brown, Co-Chairman Smith, and Members of the
Commission. I am Dr. Steven Solomon, Associate Director for Global
Operations and Policy in the Office of Global Regulatory Operations and
Policy at the Food and Drug Administration (FDA or the Agency), which
is part of the Department of Health and Human Services (HHS). Thank you
for the opportunity to be here today to discuss FDA's efforts to ensure
global product safety and quality and our work related to China.
FDA is responsible for protecting the public health by helping to
ensure the safety, effectiveness, and security of human and veterinary
drugs, vaccines and other biological products for human use, and
medical devices. The Agency also is responsible for the safety and
security of our nation's food supply, cosmetics, dietary supplements,
products that emit electronic radiation, and for regulating tobacco
products. Imported products must meet the same standards as those
produced domestically.
In my testimony today, I will discuss the challenges of an
increasingly globalized marketplace, describe FDA's actions to
safeguard the global supply chain, and discuss FDA's activities related
to China.
challenges of globalization
Sweeping economic and technological changes have revolutionized
international trade over the last several decades, creating a truly
global marketplace for goods and services. Accounting for 20 to 25
percent of all U.S. consumer spending, products regulated by FDA are a
substantial component of this global economy. Food and medical
products, and their ingredients and components--products that directly
and profoundly affect the health and welfare of the U.S. public--are
increasingly sourced from abroad. Today, FDA-regulated products
originate from more than 200 countries and territories and pass through
more than 300 U.S. ports. The number of FDA-regulated shipments has
more than tripled from 8 million import entry lines per year a decade
ago to 28 million entry lines in Fiscal Year (FY) 2012. In FY 2013,
entry lines are anticipated to reach 34 million. By way of background,
the Agency tracks import shipments using entry lines. An entry line
means each portion of a shipment that is listed as a separate item on
an entry document. As trade increases and U.S. consumers continue to
demand global products, FDA's ability to ensure the safety and quality
of these imported products will depend on its execution of a myriad of
global engagement strategies.
Americans benefit greatly from global sourcing of products. For
example, U.S. consumers can choose from a wide variety of fruits and
vegetables year round, regardless of the domestic growing season. Ten
to fifteen percent of all food consumed by U.S. households is imported.
Approximately 50 percent of fresh fruits, 20 percent of fresh
vegetables, and 80 percent of seafood consumed in the U.S. are
imported. Health professionals can also draw on drugs and medical
devices developed anywhere in the world, if they have been approved for
use in the United States. Approximately 40 percent of finished drugs in
the United States come from overseas, as well as more than 50 percent
of all medical devices. Approximately 80 percent of the manufacturers
of active pharmaceutical ingredients are located outside the United
States.
This rapid globalization of commerce poses challenges. For example,
some products entering the United States are made or grown in countries
that lack the necessary regulatory oversight to ensure their safety.
Greater numbers of suppliers, more complex products, and intricate
multinational supply chains can introduce risks to product safety and
quality. These factors also provide more opportunities for intentional
or unintentional adulteration and exposure to contaminated products for
consumers. I will discuss below the ways in which FDA is pursuing a
comprehensive strategy to enhance the safety of imported products and
establish effective global partnerships.
Many of the challenges associated with globalization manifest
themselves in China. Historically, FDA has been faced with several
public health threats related to imports from China. These include
Chinese suppliers of heparin (a critical drug to prevent blood clots),
who substituted a lower-cost, adulterated raw ingredient in their
shipments to U.S. drug makers, causing deaths and severe allergic
reactions. Other examples involved the addition of melamine to pet food
made in China, which sickened and killed cats and dogs in the United
States, and the presence of animal drug residues in seafood raised
through aquaculture from China.
FDA's success in protecting the American public depends
increasingly on its ability to reach beyond U.S. borders and engage
with its government regulatory counterparts in other nations, as well
as with industry and regional and international organizations, to
encourage the implementation of science-based standards to ensure the
quality and safety of products before they reach our country. FDA is
working with its many partners to enhance responsibility and oversight
for safety and quality throughout the supply chain.
safeguarding the global supply chain
To address the challenges described above and strengthen
protections for American consumers, FDA is utilizing a variety of
engagement strategies, in collaboration with our many partners. Our
efforts are in line with the 2012 U.S. National Strategy for Global
Supply Chain Security, which emphasizes a layered, risk-based approach
to achieving global supply chain systems that are secure, efficient,
and resilient. In 2011, FDA released its report, Pathway to Global
Product Safety and Quality, which outlines the Agency's strategy to
transform itself from a predominantly domestically-focused Agency to
one that is fully prepared for a complex, globalized regulatory
environment. I would like to discuss just a few of the activities we
are pursuing as part of this strategy.
International Offices and Foreign Posts. FDA's international
offices and posts help to build strong partnerships with our foreign
counterparts by providing enhanced opportunities for cooperation and
capacity building. They also expand our knowledge base and provide a
platform for inspection of foreign facilities. We now have a permanent
FDA presence overseas in 12 foreign posts in nine countries. Our
overseas employees are located in China, India, Latin America, Europe,
the Middle East, and South Africa.
Risk-based Monitoring of Imported Products. While FDA does not have
sufficient resources to physically inspect all imported shipments, even
if we had such resources, physically inspecting all imports would be
neither practical nor strategic. However, the Agency electronically
screens all imports using an automated risk-based system to determine
if shipments meet identified criteria for physical examination or other
review. To enhance our ability to target high-risk products, FDA
developed the Predictive Risk-based Evaluation for Dynamic Import
Compliance Targeting application, or PREDICT. This is a sophisticated
screening system that uses intelligence from many sources--such as
intrinsic product risks, past inspection results, intelligence data,
and even information about such threats as extreme weather that could
spoil a shipment--to provide the entry reviewer with risk scores on
every import line. PREDICT utilizes information sources that include
FDA and U.S. Customs and Border Protection (CBP) data, as well as data
collected from our foreign offices, foreign regulatory counterparts,
other federal agencies, and our state counterparts. It also utilizes
risk analyses we receive through agreements with academic institutions
and international organizations. As we continue to increase data
sharing with state, federal, and foreign government partners, as well
as private partners, we will continue to incorporate more information
into PREDICT. This system allows FDA to focus its resources on those
imports that are most likely to pose a danger, while at the same time
facilitating entry of low-risk products. FDA, the United States
Department of Agriculture (USDA), and the Department of Homeland
Security have also developed improved systems for monitoring for the
potential of economically-motivated adulteration, which uses CBP and
trade data.
Technical Cooperation and Capacity Building. FDA recognizes the
need to engage in effective regulatory cooperation with our global
partners. The capacities of governments to manage, assess, and regulate
products within increasingly complex supply chains are a fundamental
factor affecting product safety and efficacy. FDA is working
strategically with a range of countries to provide information, tools,
training, and exchange programs that contribute to building or
strengthening regulatory capacity of our trading partners. I will
describe later in my testimony some of our collaborations with Chinese
government officials.
Implementing Major New Laws. In addition to these activities, FDA
is implementing significant new authorities provided by Congress that
will help ensure the safety of imported products.
The FDA Food Safety Modernization Act (FSMA). FSMA,
the most sweeping reform of our food safety laws in more than
70 years, creates a modern food safety system. The new
authorities increase FDA's ability to focus on preventing,
rather than reacting to, food safety threats, share information
with public health and regulatory counterparts, and make
informed, risk-based decisions.
Earlier this year, FDA published for comment two proposed rules
that would establish science-based standards for the prevention of
foodborne illnesses--one on safe growing and handling practices for
produce and another on prevention practices in facilities that process,
handle, and store human food. These standards, when finalized, will
apply to both domestic and foreign firms.
FSMA also provides other new tools to hold imported food to the
same standards as domestic foods. For the first time, once the
regulations are in place, importers will have explicit responsibility
to verify that their foreign suppliers have adequate preventive
controls in place to ensure that the food they produce is safe. The law
also provides an incentive for importers to take additional food safety
measures by directing FDA to establish a voluntary program through
which imported food shipments may receive expedited review for
importers that have taken certain measures to ensure the safety of the
food they import. In addition, FSMA directs FDA to develop a
comprehensive plan to expand the technical, scientific, and regulatory
food safety capacity of foreign governments and their industries. One
component of the plan is to address training of foreign governments and
food producers on U.S. requirements for food safety.
The Food and Drug Administration Safety and Innovation
Act (FDASIA). With the passage of FDASIA last year, Congress
granted FDA important new authorities, reauthorized human drug
and device user fees, and authorized new user fees for generic
human drugs and biosimilar biologics. These authorities and
fees are intended to maintain a predictable and efficient
review process for medical products, provide incentives for
developing new antibacterial and antifungal drugs, combat drug
shortages, and enhance the Agency's efforts to ensure that
American consumers have more timely access to safe, high-
quality, and affordable medicines.
Title VII of FDASIA focuses on improving the safety and integrity
of drugs imported into, and sold in, the United States. The new
authority increases FDA's ability to collect and analyze data to enable
risk-informed decision-making, advance risk-based approaches to
facility evaluation, partner with foreign regulatory authorities to
leverage resources through information-sharing and recognition of
foreign inspection, and drive safety and quality throughout the supply
chain through the use of strengthened tools. For example, the law
requires foreign and domestic companies to provide complete information
on threats to the security of the drug supply chain and improves
current registration and listing information, making sure FDA has
accurate and up-to-date information about foreign and domestic
manufacturers.
The new authorities provided by FSMA and FDASIA align with the
strategies outlined in the Pathway report. Both FSMA and FDASIA promote
collaboration with global regulatory partners, utilizing data systems
to facilitate information-sharing and risk analytics and leveraging the
efforts of our regulatory and public health partners. We are working
hard to implement both of these important laws.
fda activities related to china
Nowhere is the shift toward a global marketplace more evident than
in U.S. trade with China. China is the source of a large and growing
volume of imported foods, drugs, and ingredients. During FY 2007-2012,
the total number of shipments of FDA-regulated products from China
increased from approximately 1.3 million entry lines to 4.5 million
lines. Of the 4.5 million lines arriving from China in FY 2012, 67
percent were drugs and devices, and 6 percent were human food products.
Three percent of our imported food, 8 percent of animal food, and 5
percent of drugs and biologics come from China.
As the number of products imported from China has increased, so
have the challenges. There are currently 74 active FDA Import Alerts
that include firms located in China. Forty of the Import Alerts concern
food products. These alerts signal FDA investigators at the U.S. border
to pay special attention to a particular product, or a range of
products from a particular country, producer, shipper, or importer.
Under these Import Alerts, products may be detained at the border and
may be refused admission into U.S. commerce unless the importer is able
to demonstrate that the products are in compliance with all laws and
regulations. There are currently nine country-wide Import Alerts for
China. For example, in September 2008, FDA became aware of thousands of
infant illnesses in China associated with the consumption of infant
formula reported to contain melamine. To keep these products out of the
country and protect American consumers, the Agency issued an Import
Alert for milk and milk products from China because of the presence of
melamine. In addition, FDA continues to find residues of several animal
drugs in shipments of aquacultured seafood products from China. As a
result, FDA has imposed a country-wide Import Alert on all farm-raised
catfish, basa, shrimp, dace, and eel from China.
FDA is taking several actions in response to these challenges. FDA
has 13 officers posted in three locations in China: Beijing, Shanghai,
and Guangzhou. This includes eight U.S. civil servants and five Chinese
staff. The mission of FDA's China Office is to strengthen the safety,
quality, and effectiveness of FDA-regulated products produced in China
for export to the United States. FDA's China Office works to fulfill
this mission through:
Collaborating, capacity-building, and confidence-
building with Chinese regulatory counterparts at the central,
provincial, and municipal level;
Reaching out to regulated Chinese firms that wish to
export their products to the United States to enhance
understanding of and compliance with FDA standards;
Monitoring and reporting on conditions, trends, and
events that could affect the safety and effectiveness of FDA-
regulated products exported to the United States;
Conducting inspections at facilities that manufacture
FDA-regulated goods;
Increasing the knowledge base and understanding of key
stakeholders about FDA regulations and science-based approaches
to strengthen product safety, quality, and effectiveness; and
Working closely with other relevant offices within the
U.S. Embassy and Consulates in China, such as the Foreign
Commercial Service of the Department of Commerce, the Foreign
Agricultural Service of USDA, and the Centers for Disease
Control and Prevention of HHS.
Food and animal feed exported from China are regulated by the
General Administration of Quality, Supervision, Inspection, and
Quarantine (AQSIQ). This food-export system is separated from China's
system for regulating its domestic food supply. On the domestic side,
the Ministry of Agriculture has responsibility for primary food
production, and the China Food and Drug Administration (CFDA) has
responsibility for food processing, food in retail circulation, and
restaurants. Until March 2013, these responsibilities had been held by
three different ministries within the Chinese Government. FDA, through
efforts led by its China Office, has established active working
relationships with the food safety agencies in Beijing and will
continue to work with key stakeholders in China to strengthen the
safety of food exported to the United States by encouraging the
implementation of science-based standards. On the human drug side,
domestic drugs and certain exported drugs are regulated by the CFDA.
Domestically, AQSIQ and the Ministry of Agriculture share
responsibility for the regulation of animal drugs, animal feed, and
feed ingredients.
I would now like to provide some examples of our collaborations
with Chinese government officials.
In mid-April, FDA met with CFDA in Washington to discuss the
substantive collaboration between FDA and CFDA across more than a dozen
topic areas. While much of the strengthening of our relationship with
CFDA has come through day-to-day collaboration between FDA's China
Office and CFDA officials in Beijing, there are other significant ties
in multiple areas across our agencies, such as:
A working group on economically-motivated adulteration
(the fraudulent substitution of a substance in a product to
increase value or reduce production costs for the purposes of
economic gain) meets on a regular basis by video, linking
Washington-based experts with CFDA's key decision-makers.
Experts from FDA's Center for Devices and Radiological
Health now meet regularly with their counterparts from CFDA
under the auspices of the International Medical Devices
Regulatory Forum, as China has recently joined the Forum.
FDA and CFDA collaborate closely under the auspices of
the World Health Organization's Working Group for Member States
on Substandard, Spurious, Falsely-Labeled, Falsified and
Counterfeit Medicines. FDA and CFDA inspectors regularly
observe one another's inspections.
On May 21, 2013, FDA and CFDA co-hosted a workshop to
enhance our collaboration in the fight against Internet-based,
illegal distribution of adulterated drugs.
Other examples include:
Between 2010 and 2012, FDA held a series of workshops
on good clinical practices for Chinese inspectors who inspect
sites that conduct trials to support the development of
pharmaceuticals. Prior to the workshops, CFDA had few well-
trained inspectors able to conduct inspections of clinical
research sites. FDA's training in this area helped CFDA to
establish its national clinical research inspectorate. FDA
regularly invites these CFDA inspectors to observe Agency
clinical research inspections in China to continue to enhance
CFDA's understanding of FDA requirements.
At the request of CFDA, FDA's China Office and Office
of Criminal Investigations worked with U.S. Internet-hosting
companies to shut down 16 Chinese-language websites that
illegally sold unapproved medical products through servers
located in the United States.
In 2012, CFDA provided to FDA's China Office a list of
Chinese pharmaceutical firms against which CFDA had taken
regulatory action because of their failure to comply with
relevant standards for good manufacturing practices. From the
list, FDA identified 61 firms that had shipped products to the
United States and targeted these firms as priorities for
inspection.
FDA's country-wide Import Alert on five species of
aquaculture fish has been in place since 2007, yet FDA
continues to find positive samples of illegal drugs and
additives from Chinese aquaculture products shipped to the
United States. In November 2012 and May 2013, FDA and AQSIQ
held workshops for members of Chinese industry to address
concerns regarding aquaculture practices for fish farms. These
workshops have significantly enhanced FDA's understanding of
China's oversight system for aquaculture products, and have
provided Chinese industry with a clearer understanding of FDA's
requirements and practices.
conclusion
Thank you for the opportunity to describe some of FDA's actions to
address the challenges of an increasingly globalized marketplace and to
discuss our work in China. FDA is pursuing a comprehensive strategy to
enhance the safety of imported products and establish an effective
global safety net.
Firms always have the primary responsibility to produce safe
products, but it is important that governments provide meaningful and
robust regulation. FDA is working with China to help them improve their
regulatory system and to educate them on the new standards being
implemented in our regulatory system.
I am happy to answer any questions you may have.
______
Prepared Statement of Jennifer L. Turner
may 22, 2013
Seeing Through the Smog? Pushing for Pollution Information Transparency
and Environmental Public Interest Law in China
introduction
In the 36 years since opening up to the world, China's economy is
still booming and it is easy to talk in superlatives about the
country--fastest growing economy, largest and most populated cities,
tallest dams, biggest consumer of coal, and the list goes on. China's
rapid economic growth has lifted millions out of poverty and promoted
wealth in the country, but at a major cost to the environment. China is
now burdened with some of the dirtiest air and water in the world.
There remain huge unknown threats in terms of soil quality,
biodiversity losses, and long-term impacts of pollution on the public's
health. The Chinese government has long acknowledged the growing litany
of environmental woes and passed countless laws and regulations, but
enforcement remains a key obstacle.
Since the mid-1980s, Chinese government and research institutes
have actively engaged with bilateral and multilateral aid agencies as
well as U.S. environmental NGOs, universities, foundations, and
research institutes to address China's pollution and other
environmental challenges. This international engagement has assisted
Chinese policymakers in drafting and passing environmental and clean
energy laws, regulations and standards, and led to joint researches
between Chinese and international institutes. International
organizations also have helped train and empower Chinese environmental
policymakers, lawyers, judges, journalists, researchers, and NGOs to
work on public participation, open information, and other environmental
governance issues. For example, Vermont Law School, Natural Resources
Defense Council, and the American Bar Association have all worked with
the Chinese NGO Center for Legal Assistance for Pollution Victims to
train Chinese judges, lawyers and local officials on public hearings
for environmental impact assessments and public interest law cases.
Over the last three decades, U.S. environmental NGOs have played a
pivotal role in creating new kinds of cooperation and dialogues around
environmental problems, forging long-lasting partnerships among Chinese
and U.S. researchers, NGOs, and government agencies.
As the Chinese government has passed new laws and measures on
environmental information transparency and public participation, the
growing cohort of Chinese environmental journalists, lawyers,
researchers and activists have gained more political space in which to
operate and are placing greater bottom-up pressure on the government to
improve China's weak enforcement of environmental laws and regulations.
The expansion of ``green'' laws and the increasing accessibility to
information on environmental issues in China has paved the path for a
growing national consciousness rallying around the right to a clean
environment, and Chinese citizens are increasingly willing to petition,
complain, and protest the worsening environmental quality.
Below is a brief overview of some emerging trends of transparency,
public participation, and public interest lawsuits around environmental
issues in China. While there are many encouraging developments,
ultimately these new policy tools are but one part of what needs to be
larger environmental governance reforms in China.
demands for pollution information
In recent years, Northern China has witnessed major air pollution
incidents. But the smog that blanketed Beijing and much of northern
China in December 2012 and the early months of 2013 was particularly
severe and worrying for government and citizens alike. During this
time, pollution levels for fine particulate matter (PM2.5) rose two,
three or sometimes four times beyond the emergency level of 250
micrograms per cubic meter. Chinese citizens broadcasted their
frustration with the smog through social media and some Chinese NGOs
rented out personal air quality monitors to have citizens then post the
registered ``hazardous'' readings online alongside official government
air quality reports that listed the air pollution as ``fair'' or
``moderate.'' Through these public awareness campaigns, Chinese online
citizens (netizens) successfully advocated for the central government
to adopt PM2.5 standards that match those being tweeted by the U.S.
Embassy in Beijing. Greenpeace China and Beijing University School of
Health issued a timely study that reported 8,600 early deaths from
PM2.5 in Beijing, Xi'an, Guangdong and Shanghai in 2012. The Chinese
news media was highly critical of the government's failure to lessen
the, literally, choking pollution. The public's extensive criticism
online and harsh news media reporting were effective in prompting the
government to make some of the following policy changes:
China's State Council mandated rapid deployment of
PM2.5 monitoring and issued real-time data to the public. As of
January 2013 a total of 496 monitoring sites have been set up
in the 74 Chinese cities and the central government aims that
all prefecture-level cities establish urban air quality
monitoring program by 2016.\1\
The 12th Five-Year Plan for Energy Development, which
came out in January 2013 introduced a noteworthy and
unprecedented pollution control policy target. Specifically,
energy producers are required to cut small particulate
emissions (PM2.5) by 30 percent over the next five years. Coal-
fired powerplants and oil companies will now be targeted for
stricter regulation.
To improve the city's dismal air quality, the Beijing
Development and Reform Commission announced a new round of
targets to cut coal use, capping coal use at 15 million tons a
year by 2015, the end of the 12th Five-Year Plan period, which
represents a 60-percent drop from the city's 2010 use.
The central government announced plans to upgrade
vehicle fuels quality and tighten auto emission standards.
The smog incident catalyzed a new dialogue in China
about how to evaluate local officials for actual environmental
improvements, whereas in the past, they were recognized for
installing pollution control equipment, even though the
equipment may not be operating.
While Chinese government agencies have long issued ambitious
statements addressing pollution, the difference in the latest air
pollution case is that the general public, NGOs and the news media were
more vigilant and willing to demand environmental information and
accountability from officials, widely expressing and sharing their
discontent online. A recent Shanghai Jiao Tong University survey of
3,400 Chinese citizens across 34 cities revealed that more than three-
quarters of the respondents would be willing to protest against
polluting industries.\2\ Nearly 80 percent believed environmental
protection should be a higher priority than economic development. \3\
successes and failures in using open information tools
An NGO's Success . . .
A growing number of Chinese NGOs are using open information
measures and Internet ``naming and shaming'' as tools to pressure
polluting industries and inattentive government agencies to halt
pollution. Ma Jun, China's leading water pollution activist and founder
of the NGO Institute for Public and Environmental Affairs (IPE), is
perhaps the leader in using open information measures to motivate
better environmental performance from governments and companies. In
2006, drawing on publically available information of polluters, IPE
created online water and air pollution databases and publicized a list
of polluters now numbered more than 125,000. A broad range of
stakeholders--particularly international and Chinese companies--use
these databases as a tool to monitor the environmental quality and
suppliers' performance in China. International and Chinese companies
who request audits to clear their names off of his well-publicized
website often work with IPE's Green Choice Alliance--a group of 30
grassroots Chinese green NGOs who help oversee audits of the companies.
The Alliance has motivated hundreds of factories with poor pollution
records to publicly disclose their work plans to clean up their
pollution.
Taking his transparency work a step further, in 2009, Ma Jun's NGO
began working with a U.S. NGO, the Natural Resources Defense Council,
to create a pollution information transparency index (PITI), which
examines and ranks government performance in disclosing environmental
information and respond to public appeals in 113 cities. The index is
not intended to be solely a finger pointing exercise, but rather to
help educate and motivate city officials to view information
transparency as a valuable tool in promoting better environmental
enforcement.
. . . and a Lawyer's Failed Attempt
Lawyers too are working to uncover poor environmental performance
and test China's 2008 Open Environmental Information Measures, which
gave citizens the right to request pollution information from
government and industry. Soil pollution is a quieter environmental
crisis facing China that only recently made headlines after Beijing
lawyer Dong Zhengwei unsuccessfully applied to access data on the 2006
national soil pollution survey, conducted by the Ministries of
Environment and Land Resources. Ministry of Environmental Protection
(MEP) declined Dong's request citing the survey results as a ``state
secret.'' At least three state-run newspapers (People's Daily, China
Daily, and Xinhua) criticized China's environmental authorities for
arguing that soil pollution data is a ``state secret'' and thus not fit
for public consumption.
Dong subsequently pressed for an administrative review from MEP;
but on May 8, 2013, the lawyer received MEP's administrative review
decision that he still could not receive the information. The MEP
justified the denial stating that the survey's information on soil
pollution was only a general overview of the situation with more
studies underway, and once the MEP completed its investigation it would
release the results to the public.
China currently lacks the laws, regulations and standards that
could guide MEP in requiring clean up and assigning liability, a gap
that also could explain some of MEP's hesitancy in releasing what could
be very unsettling information on soil quality. Thus, without
legislation of action, the open information measures end up being
simply an institution in waiting.
Although the ministries of environment and land and resources have
not fully released the national soil survey results, researchers around
China began publishing sobering articles on the scope of the problem. A
Nanjing Agricultural University study hypothesized that up to 10
percent of China's rice may be contaminated with cadmium, identifying
rice from Hunan, Guizhou, and Guangxi Zhuang Autonomous Region as being
potentially the most heavily contaminated. China's oldest environmental
NGO, Friends of Nature, released its Annual Report on Environment
Development of China on April 11, 2013 which highlighted the growing
challenge of soil pollution. This report cited Chinese studies that
found 12.1 percent of China's farmland is polluted to some degree with
heavy metals. The report also indicates that China is already suffering
direct economic losses caused by pollution in agricultural lands, which
leads to reduced grain production and raises public questions of food
safety. Few NGOs have focused on soil quality and food safety; so
shining a light on this area could help raise this issue's profile on
the policy agenda. Thanks to the latest round of discussion on and off
line about China's soil pollution, the country is now expecting a new
oil pollution prevention and control law in three years.\4\
taking it to the streets--protest as participation of last resort
The Chinese Public Security Bureau no longer publishes the exact
numbers on environmental pollution protests, but in a recent lecture on
the social impact of pollution problems organized by the Standing
Committee of the National People's Congress, Yang Chaofei, the vice-
chairman of the Chinese Society for Environmental Sciences, stated that
the number of environmental mass incidents has grown an average of 29
percent annually from 1996 to 2011.\5\ Yang noted particularly that
pollution incidents involving dangerous chemicals and heavy metal
pollution have risen since 2010. Chinese news media frequently report
on protests, particularly urbanites whose protests against polluting
factories have led to closures and sometimes halted planned projects.
For example, earlier this year when an environmental activist in
Kunming learned about plans for constructing a refinery and
petrochemicals base near Kunming to process oil from Myanmar, he
started disseminating leaflets condemning the planned project. His
efforts ultimately sparked a major protest in the city on May 17, 2013,
which prompted Kunming's mayor to meet with the protestors and promise
the local government would take their opinions into account in the
city's ruling on the project.
While the growing number of pollution protests indicates a
citizenry keen on demanding their right to a clean environment, many
protests are ultimately more a symptom of China's environmental
governance problem and will not, at least in the near term, solve the
nation's pollutions. If, for example, the Chinese public was actively
involved in environmental impact assessment hearings (as is required by
law) many protests could have been avoided. Without a formal channel to
learn of large infrastructure projects such as construction of
incineration plants and oil refineries, the public is left with little
choice but to protest when they learn about the project. Another
weakness of protests is that the often ``Not In My Backyard (NIMBY)''
protests do not stop polluting behavior, but simply move it. There are
numerous examples of dirty factories which face campaigns online and on
the streets in east coast urbanities simply move the set-up to a poorer
inland community where the cycle of pollution and protest may begin
again. This, most notably, occurred after the 2007 PX protests in the
city of Xiamen where city authorities moved a planned PX facility 30
miles inland.\6\
potential of public interest law cases
November 13, 2005 witnessed one of the biggest environmental
disasters in China's modern history. An explosion occurred at a
PetroChina chemical plant in China's northwestern Jilin Province,
spilling 100 tons of benzene into the Songhua River and creating a
toxic slick stretching over 80 kilometers into the Amur River in
Russia. On behalf of the endangered species and the polluted river, a
group of Chinese lawyers filed a lawsuit against the subsidiary of
PetroChina responsible for the spill, inaugurating a new era in Chinese
environmental activism: seeking legal recourse for environmental harm
through a public interest case. Though the court eventually dismissed
the Songhua River Case, because it did not recognize animals and
ecosystems having legal standing as plaintiffs, the case sparked a
legal and policy discussion about how such cases could become a
valuable tool to strengthen China's poor enforcement of pollution
control laws and regulations. In August 2012, Article 55 of China's
Civil Procedure Law was amended to create effective space for
environmental public interest litigation that might have even allowed
for the Songhua River case to receive standing.
The amendments to Article 55 of China's Civil Procedure Law grant
the right to statutorily approved authorities and relevant
organizations to initiate lawsuits against polluters on behalf of the
public interest. In other words, the plaintiff does not need to show
personal injury or loss from the pollution. This is the first time a
Chinese national law recognizes public interest litigation. Another
notable amendment, to China's Civil Procedure Law, allows non-judicial
experts to challenge the opinion of judicial appraisers and aid Chinese
court in fact finding, a move that opens up the court to new
stakeholders. Because there are a limited number of judicial appraisers
(judicial experts) in China, allowing non-judicial experts for
testimony will effectively widen the pool to environmental experts and
potentially increase the speed of the cases.
In 2011 two independent Chinese NGOs--Friends of Nature and
Chongqing Green Volunteer Association--tested the public interest law
by bringing a public interest law case against a mining company that
illegally dumped 5,000 tons of chromium tailings next to a reservoir in
western Yunnan. The toxic runoff severely contaminated the water and
killed livestock and crops in nearby villages.\7\
Chinese courts often shun large pollution cases, yet the Yunnan
court accepted the NGO plaintiffs in this case because of a provincial
law that granted the NGOs' legal standing. The local environmental
protection bureau also joined as a plaintiff, which greatly facilitated
the compiling of evidence. Moreover, the NGOs successfully catalyzed
considerable news media reporting on the case. Wang Canfa, founder of
the Center for Legal Assistance for Pollution Victims, was quoted
saying that this case was a good start for the public interest lawsuits
in China. He considered this case as helpful in shaping the Civil
Procedure Law Amendments.\8\
Robert Percival, a professor at University of Maryland Carey School
of Law, explained at a November 29, 2012 meeting at the Woodrow Wilson
Center that while China amended Article 55 of its Civil Procedure Law
to allow for public interest suits, many questions still remain,
particularly regarding precisely who can serve as a public interest
plaintiff. Ultimately, the major challenge faced by those wishing to
raise public interest suits is the courts' unwillingness to accept such
cases, especially if the company in question serves as a major source
of local tax revenue.
These new rules under Article 55 are encouraging developments that
indicate a growing space for public interest law and greater
involvement of NGOs in environmental advocacy. However, the Article 55
rules have yet to be tested in a large high profile case and will
likely need more guidance from either the legislators or the courts to
be fully applied. There are currently six to ten public interest
environmental law cases that NGOs and lawyers are working on in China,
which indicates an appetite to experiment with this new tool.
conclusion
The smoggy air devouring Beijing is one prominent example of how 40
years of double-digit economic growth has exacted a huge environmental
cost on China. The Chinese government's own data highlight the growing
costs: the Chinese Academy of Environmental Planning (a research
institute under the Ministry of Environmental Protection) reported in
March 2013 that environmental degradation cost the country about $230
billion in 2010, or 3.5 percent of China's GDP. This is three times
higher than MEP's estimate of pollution costs in 2004.\9\ The growing
costs of environmental degradation and the government's own inability
to enforce existing laws will be one of the greatest challenges for
China moving forward.
It is important for China to keep opening political space that
allows grassroots groups, lawyers, and the general public to push for
transparency, open information and public interest law cases, for these
tools can create effective pressure for better environmental
performance by the government and industry. However, in the long run
there are many vital political reforms that China must make to truly
strengthen environmental enforcement--such as creating a completely
independent judiciary and empowering the Ministry of Environmental
Protection. Alex Wang, a UC Berkeley researcher, argues that to
substantially improve environmental performance by local governments
China needs to establish hard targets for environmental quality
outcomes against which officials at the province and sub-provincial
levels are held strictly accountable.\10\
Pressing pollution problems that threaten China's economy have
motivated Chinese policymakers to explore creative reforms in pollution
control, clean energy laws, and regulations. Such experimentation has
made environmental protection one of the most progressive policy and
legal advocacy areas in China, particularly in terms of prioritizing
open information, encouraging public participation, creating and
setting up special courts, and granting political space for NGOs. Many
international groups have conducted research and pilot projects that
have helped build the capacity of Chinese regulators, NGOs, and
researchers to develop these bottom-up regulatory tools. Of relevance
for today's testimony, the U.S. EPA, Vermont Law School, Natural
Resources Defense Council, American Bar Association, and other NGOs
have been active in creating exchanges and conducting trainings in
environmental information transparency, public participation, and
public interest law. Such work strengthens China's environmental
governance, which could help reduce pollution, better protect the
health of Chinese citizens, and the products they consume. Cleaner
skies over China also could lower the growing problem of air pollution
from China impacting neighboring countries and the western coast of the
United States.
Additionally, as the Chinese government improves environmental
governance regulations and encourages stronger public and government
watchdogs, Chinese companies will come under greater pressure to obey
pollution control laws. Forcing Chinese companies to internalize the
costs of pollution could raise the cost of products produced in China
and potentially help level the playing field with international
companies that have already been doing a better job in pollution
prevention.
* * * * * * *
Notes
\1\ Xinhua. (2013, January 1). ``74 Chinese cities release real-
time PM2.5 data.'' China Daily. http://www.chinadaily.com.cn/china/
2013-01/01/content--16074893.htm.
\2\ Brian Spegele. (2013, May 17). ``Behind Chinese Protests,
Growing Dismay at Pollution.'' The Wall Street Journal.
\3\ Survey: Govt needs to focus more on environment http://
www.china.org.cn/environment/2013-05/08/content--28766682.htm
\4\ Caijing. (2013, May 27). ``China will issue soil pollution
prevention law within 3 years.'' http://www.cfen.com.cn/web/meyw/2013-
05/27/content--978264.htm
\5\ Jennifer Duggan. (2013, 16 May). ``Kunming pollution protest is
tip of rising Chinese environmental activism.'' The Guardian. http://
www.guardian.co.uk/environment/chinas-choice/2013/may/16/kunming-
pollution-protest-chinese-environmental-activism.
\6\ Brian Spegel. (2013, May 17).
\7\ Story of illegally dumped chromium in China wins environmental
press award. http://www.guardian.co.uk/environment/2012/apr/11/
poisoning-exposed-illegally-dumped-chromium-china.
\8\ Xinhua. (2012, May 24). ``Lawsuit demands 10 mln yuan for
pollution victims.'' China.org.cn.http://www.china.org.cn/environment/
2012-05/24/content--25461431.htm.
\9\ Edward Wong. (2013, March 29). ``Cost of Environmental Damage
in China Growing Rapidly Amid Industrialization.'' The New York Times.
http://www.nytimes.com/2013/03/30/world/asia/cost-of-environmental-
degradation-in-china-is-growing.html?--r=0.
\10\ Alex Wang. (February 8, 2013). ``Airpocolypse Now: China's
Tipping Point?'' Green Leap Forward. www.greenlapforward.com/2013/02/
08/airpocalypse-now-chinas-tipping-point/#more-684.
______
Prepared Statement of Yanzhong Huang
may 22, 2013
Coping with Public Health Hazards in Post-SARS China
introduction
In the past decade, multiple disease outbreaks have emerged in
China, including the SARS epidemic in 2002 to 2003, the H5N1 (``bird
flu'') outbreak in 2005 to 2006, the hand, food and mouth disease
(HFMD) outbreak in 2008, and the H1N1 (``swine flu'') pandemic in 2009.
In the spring of 2013, the emergence of a new strain of bird flu (H7N9)
in China has once again raised global concern over pandemic risks. As
of May 17, a total of 131 laboratory-confirmed H7N9 cases and 36 deaths
had been reported in at least 10 provinces/municipalities.\1\
Additionally, in recent months, the concern over environmentally-
driven public health hazards in China has grown. The off-the-chart
level of PM2.5--the most harmful types of toxic smog--in north China in
January, the reports of the existence of nearly 400 ``cancer villages''
--areas where pollution has contributed to unusually high rates of
cancer--in February, and the discovery of about 20,000 pigs floating
down Huangpu River in Shanghai in March all prove how the public
awareness (and the severity) of these environmental-health concerns are
increasing.
improving government transparency
In addressing the H7N9 outbreak, the Chinese government has,
overall, been quite transparent. The health authorities updated
information on the infection cases and fatalities on a regular and
timely basis, and the National Health and Family Planning Commission
(NHFPC), the successor to the Ministry of Health, also shared
information about the disease with Taiwan, Hong Kong, the World Health
Organization (WHO) as well as the U.S. Centers for Disease Control and
Prevention (CDC). The central and local health authorities quickly
unveiled plans involving medical and non-medical interventions to
contain the spread of the virus. The government also acted promptly to
calm speculation about the possible linkage between H7N9 and the dead
pigs in Shanghai. While questions were raised on why it took three
weeks for the health authorities to publicize the first cases, it
appears that this had more to do with the difficulties of isolating a
novel strain of the virus rather than being a deliberate cover-up.
The government openness and transparency over H7N9 prevention and
control has been accompanied by increased cooperation with the
international community. Within a week of the outbreak, China shipped
the virus samples to WHO reference laboratories for proper
identification and development of vaccines. The NHFPC also invited WHO
experts to visit areas affected by the virus. The H7N9 samples sent
from China enabled the U.S. CDC to develop diagnostic kits and a
vaccine for the virus in case it spread to America. As noted by a
senior CDC official, the information exchange with China has been
``almost in real time.'' \2\ Indeed, since SARS, the U.S. CDC has been
in regular contact with its Chinese counterparts.
The improving government transparency in the H7N9 outbreak is in
sharp contrast to its response in the initial stage of the 2003 SARS
epidemic, which was characterized by cover up and inaction.\3\ It is,
of course, not the first time since the SARS crisis that the government
is forthcoming about public health hazards. Drawing on lessons learned
in the SARS debacle and driven by the revised International Health
Regulations or IHR (2005), China has made tremendous investments in
building core capacities to detect, assess, notify, and respond to
public health emergencies. It has managed to construct the largest
infectious disease surveillance and reporting system in the world and
put in place a legal framework that aims to release disease-related
information in a timely, accurate, and comprehensive manner. During the
2009 H1N1 pandemic, for example, the government swung into action from
the very onset of the virus, and health authorities drummed up
awareness of the dangers of the virus to make sure all intervention
measures were widely broadcast and updates about the disease were
regularly disseminated. The efforts to create a more open and
transparent image can also be identified in areas beyond addressing
public health emergencies. In January 2013, China began to release
real-time, online data on PM2.5 in 74 major cities, and in the
following month, admitted to the existence of ``cancer villages.'' This
was considered a small but significant step because up until very
recently, the Chinese government avoided making a connection between
pollution and disease.
is the move toward transparency irreversible?
The move toward growing transparency is by no means a linear or
irreversible one. As indicated in Anhui province's handling of HFMD in
2008 and Shanghai's efforts to identify the causative agent of H7N9,
most localities in China still do not have the capability to correctly
and swiftly identify emerging infectious diseases. Critical central-
local gaps in epidemiological and laboratory capacities, when coupled
with an authoritarian political structure, may contribute to sustained
cover-up, underreporting, or misreporting at the sub-national level.
Moreover, as health is increasingly viewed as a ``high politics'' issue
on government agenda, government response to public health emergencies
can be hijacked by domestic political deliberations. As the 20th
Anniversary of the Tiananmen crackdown (June 4) and the 60th
anniversary of the founding of PRC (October 1) were around the corner
during the 2009 H1N1 pandemic, for example, social-political stability
became the dominant concern of government leaders, which led to
lingering cover-up, underreporting, and delayed reporting of cases and
fatalities.\4\
But in the meantime, technological revolution and the revised IHR
have generated additional incentives for openness and transparency in
coping with public health hazards in China. The Internet-based disease
reporting system launched in the wake of SARS, for example, has enabled
hospitals and township health centers to directly report suspected
disease outbreaks to central health authorities. Furthermore, the
revised IHR, by legitimizing the role of non-state actors in disease
reporting, have broadened the space of disease surveillance beyond the
duty of the sovereign states.
the role of civil society
To be sure, the government today continues to impose various
constraints on civil society's engagement in surveillance and response
capacity building. Not only does the number and size of health-related
NGOs in China remain small, but vast majority of them are heavily
dependent upon international donors for support. Few NGOs work on
addressing public health emergencies and most of them are focused on
HIV/AIDS prevention and control. As the 2008 HFMD outbreak and the 2009
H1N1 pandemic have demonstrated, in the absence of effective NGO
participation in risk communication and policy implementation, upward
and downward information flows could be hindered, and the state could
have too much leeway to violate the privacy and human rights of its
citizens when responding to public health emergencies.\5\
That said, a civil society facilitated by the spread of social
media is increasingly having its voices heard and its action felt in
China's policy process. To the extent that short text messages were
widely used by the Chinese during the SARS epidemic to exchange disease
related information, during the H7N9 outbreak Chinese people have
increasingly turned to microblogs or Weibo for receiving and spreading
such information. Popular posts written by leading public intellectuals
such as Li Chengpeng and entrepreneurs such as Ma Yun can potentially
force the Chinese government to take public health-related concerns and
criticisms more seriously. But such ``online vigilantism'' also runs
the risk of taking on a life of its own by ``reaching a foregone
conclusion without the benefit of a full investigation,'' \6\ which may
not lead to effective, accurate risk communication. In the H7N9
outbreaks, for instance, the almost real-time disease alerts through
social media and mainstream media outlets sent mixed signals on the
nature of the virus in question. Also, the narrowing of time for
response and alert could compromise government capacity to undertake
effective measures for disease containment. Eager to come up with
solutions to calm an anxious public, the government treatment and
prevention guides advised the use of traditional medicines even though
their effectiveness remained unknown and some had been found to cause
serious adverse reactions.
how can the united states promote transparency and openness in china
Despite its opaque and often exclusive policy process, global
players and norms do have a role to play in China's domestic health
governance.\7\ Given the potential economic, social-political, even
security implications of infectious disease outbreaks, it is in the
interest of both the United States and China to collaborate closely in
building disease surveillance and response capacities in China. As a
global health leader, the United States should continue encouraging
China to promote transparency and openness. In addition to cooperating
with central health authorities in China, the U.S. CDC should consider
shifting more resources to improve surveillance capacity at the
subnational level. Also, while the United States should continue to
provide financial and technical support to health-related NGOs in
China, more attention and resources should be given to cultivating
civil society groups that promote awareness, transparency and capacity
building in addressing public health emergencies. Through deft use of
social media, the United States could also play a critical role in
elevating some ``latent'' public health problems (e.g., cancer
villages) on the governmental agenda. In 2008, the U.S. Embassy began
to monitor Beijing's air quality level using a devise atop its
building. By following the Embassy's Twitter feed, Beijing residents
became aware how serious the problem was. The growing awareness forced
the Chinese government to become more transparent on the issue of air
pollution. It began releasing figures on PM2.5 in early 2012.
* * * * * * *
Notes
\1\ World Health Organization, Human infection with avian influenza
A(H7N9) virus - update, May 17, 2013, at http://www.who.int/csr/don/
2013--05--17/en/index.html
\2\ Christina Larson, ``CDC Races to Create a Vaccine for China's
Latest Bird Flu Strain,'' BusinessWeek, April 10, 2013, at
\3\ Yanzhong Huang, ``Implications of SARS Epidemic for China's
Public Health Infrastructure and Political System,'' Testimony before
the Congressional-Executive Commission on China Roundtable on SARS, May
12, 2003.
\4\ Yanzhong Huang, Governing Health in Contemporary China (London
and New York: Routledge, 2013), esp. chapter 4.
\5\ Ibid.
\6\ ``Why Is a 1995 Poisoning Case the Top Topic on Chinese Social
Media?'' A ChinaFile Coversation, May 7, 2013. Available at http://
www.chinafile.com/why-1995-poisoning-case-top-topic-chinese-social-
media
\7\ Yanzhong Huang, ``China and Global Health Governance,'' Indiana
University Research Center for Chinese Politics & Business, Working
Paper #26, May 2012.
______
Prepared Statement of Tony Corbo
may 22, 2013
Chairman Brown, Co-Chairman Smith and members of the Commission. My
name is Tony Corbo, and I am the Sr. Lobbyist for the Food Program at
Food & Water Watch, a nonprofit consumer advocacy organization. We were
founded in November 2005 and our mission is to ensure that our food,
water and fish are safe, accessible and sustainably produced. We
currently represent some 500,000 members and supporters. Thank you for
the opportunity to present testimony on this important topic.
introduction
The United States is increasingly reliant on imported food. The
U.S. Government Accountability Office (GAO) reports that from 2000
through 2011, the percentage of food consumed in the United States that
was imported rose from 9 percent to over 16 percent, and food imports
increased by an average of 10 percent each year for seven years.\1\
According to the U.S. Department of Agriculture's (USDA) Economic
Research Service, the food groups with the highest share of imports are
fresh fish and shellfish (85 percent in 2009) and fruits and nuts (38
percent in 2009).\2\
China is a growing supplier of the United States' food imports.
China is the largest agricultural economy in the world and one of the
biggest agricultural exporters.\3\ It is the world's leading producer
of many foods Americans eat: apples, tomatoes, peaches, potatoes,
garlic, sweet potatoes, pears, peas--the list goes on and on.\4\ It is
also a leading producer of many of the inputs used to make processed
food, for example ascorbic acid, or vitamin C, producing about 80
percent of the world supply.\5\
But the poorly controlled expansion of China's economy has often
been fueled by excess pollution, treacherous working conditions, and
dangerous foods and products that pose significant risks to consumers
in China and worldwide. China's food manufacturers often found to cut
corners and substitute dangerous ingredients to boost sales.
Food safety problems in China have been making headlines around the
world for quite a while, especially after several rounds of publicity
concerning contamination of foods with a chemical, normally used to
make plastic, called melamine. The chemical has been intentionally
added to different food products in China, usually to try to
artificially increase the nitrogen content in attempt to pass tests for
protein levels.
In 2007, the U.S. Food and Drug Administration (FDA) received
reports of 17,000 pet illnesses, including 4,000 dog and cat deaths,
believed to be the result of melamine contamination in imported Chinese
gluten used to make pet food.\6\ Sixty million packages of pet food
were recalled in the United States.\7\ The potential health impacts
were not necessarily limited to pet food, however, because some of the
melamine-contaminated pet food was redirected to hog farms. Thousands
of hogs that ate the contaminated food were put to death in an effort
to keep melamine-contaminated meat from entering the food supply.\8\
But the FDA and USDA still allowed 56,000 hogs that ate melamine-
tainted pet food to be processed into pork, which was then sold at
supermarkets.\9\
By 2008, the FDA had identified melamine in imported wheat gluten
and rice protein from China (used in pet food), prompting rejections of
44 percent and 32 percent of these products, respectively.\10\ While
the FDA stopped these shipments, pet food imports from China continued
to rise and reached 79 million pounds in 2010.\11\
Pet food turned out to be only the tip of the melamine iceberg.
Because melamine was widely used in China to adulterate dairy products
such as milk powder, processed food products including candy, hot
cocoa, flavored drinks and, most tragically, infant formula contained
the chemical.\12\ An infant formula scandal erupted just before the
2008 Beijing Olympics and ultimately an estimated 300,000 infants and
children in China were sickened by melamine; more than 12,000 were
hospitalized.\13\ At least six children died.\14\
Melamine-tainted milk was also exported worldwide. The New Zealand-
based food company Fonterra became caught up in the melamine scandal
through a joint venture with the Chinese dairy company Sanlu that was
implicated in the melamine crisis.\15\ The scandal played out across
the globe, ending up in the food supplies of companies including Mars,
Unilever, Heinz, Cadbury and Yum! Brands, Inc. (which owns Pizza Hut,
KFC, Taco Bell and other fast food chains).\16\
While the melamine crisis may be the most widely covered Chinese
food safety scandal, unfortunately it was not an isolated incident.
International media sources routinely cover food safety problems
originating in China, ranging from widespread smuggling of products
like honey to avoid tariffs and food safety restrictions,\17\
mislabeled products ``transshipped'' through another country but
produced in China,\18\ and importing countries discovering violations
of pesticide or other food safety regulations.
A 2013 report by a food industry analyst found that among reported
food violations in Chinese products, the most frequent cause was
pesticides, followed by pathogen contamination. The report cited 32
pesticides found in laboratory testing of Chinese foods, mostly in
produce, fruit and spices and noted that ``economically motivated
adulteration'' is a persistent issue in food production in China.\19\
These food safety problems have not gone unnoticed by consumers in
the United States or China. After more than a decade of increased food
imports from China, U.S. consumers are extremely wary, with one 2011
poll revealing that participants picked China 81 percent of the time
when asked to choose two countries they perceived as having the least
food safety oversight.\20\ Chinese consumers are not much more
confident about their domestic food supply. A 2011 survey found that
food safety is a major concern for almost 70 percent of Chinese
consumers \21\ and there are regular reports of Chinese tourists
emptying store shelves in other countries in search of infant formula
not produced in China.
One tool that U.S. consumers do have is labeling. Thanks to federal
labeling requirements, country of origin labeling is required for beef,
pork, lamb, chicken, goat meat, wild and farm-raised fish and
shellfish, perishable agricultural commodities (fruits and vegetables),
peanuts, pecans, ginseng, and macadamia nuts. But these labeling rules
do not apply to processed forms of these foods, and the USDA's
definition of processing is far too broad, which excludes many foods
from the labeling requirement. The U.S. rules for labeling meat have
also been challenged at the World Trade Organization (WTO), resulting
in a process of revising the rules that is ongoing.
u.s. food imports from china
After joining the World Trade Organization in 2001, China's food
exports to the United States tripled to 4.1 billion pounds of food in
2012.\22\ In addition to Chinese firms exporting to the United States,
U.S. food and agribusiness companies have capitalized on China's cheap
labor costs and weak regulations, hoping to sell to a growing class of
Chinese consumers and export to the United States.
Total U.S. food imports from China fell during the economic
recession, but over the past four years, imports have increased by
about 250 million pounds, a 7 percent increase from 2009 to 2012.\23\
Fruits and vegetables (primarily frozen and processed) make up most of
the U.S. imports from China, amounting to 1.6 billion pounds and 41
percent of imported food products. 1.2 billion pounds of fresh, frozen
and processed fish and seafood products made up about a third of
imports (30 percent).\24\
Most Chinese exports to the United States are fruits and vegetables
that can be harvested and processed with lower labor costs in China
than elsewhere,\25\ undercutting U.S. farmers. As the world's largest
apple producer, for example, China's apple juice concentrate exports
supply a growing share of America's apple juice. By 2007, half the
garlic Americans ate was grown in China, although that figure fell to
31 percent in 2011 as the recession and falling dollar dampened import
demand.\26\ Before China entered the WTO, the United States produced
about 70 percent of the garlic Americans consumed.\27\ Over the past
decade, imports of Chinese garlic more than quadrupled, while U.S.
garlic cultivation dropped by a third.\28\
The millions of pounds of imports from China represent a
considerable portion of the food eaten by U.S. consumers. For example,
in 2011:
Eighty percent of the tilapia Americans ate came from
the 382.2 million pounds of imports from China.
The United States imported 367 million gallons of
apple juice from China, amounting to almost half (49.6 percent)
of U.S. consumption.
The 70.7 million pounds of cod imported from China
amounted to just more than half (51 percent) of U.S.
consumption.
The 217.5 million pounds of imported garlic was 31.3
percent of U.S. consumption.
The 39.3 million pounds of frozen spinach represented
11 percent of U.S. consumption. (For more import quantities,
see chart in Appendix I.)
Other Chinese exports include processed foods and food ingredients,
products which most consumers purchase without considering where they
came from. China is a leading supplier to the United States of
ingredients like xylitol, used as a sweetener in candy, and sorbic
acid, a preservative.\29\ China supplies around 85 percent of U.S.
imports of artificial vanilla, as well as many vitamins that are
frequently added to food products, like folic acid and thiamine.\30\ By
2007, 90 percent of America's vitamin C supplements came from China,
and by 2010, China supplied the United States with 88 million pounds of
candy.\31\ The United States also imported 102 million pounds of
sauces, including soy sauce; 81 million pounds of spices; 79 million
pounds of dog and cat food; and 41 million pounds of pasta and baked
goods from China in 2010.\32\
u.s. regulation of chinese food imports
U.S. oversight of Chinese food processors has not remotely kept
pace with the growth in imports. Though the Food and Drug
Administration prevented 9,000 unsafe Chinese products from entering
the country between 2006 and 2010,\33\ it is not because of vigilant
inspection at U.S. borders and ports. The agency's low inspection
rate--less than 2 percent of imported produce, processed food and
seafood \34\--almost guarantees that unsafe Chinese products are making
their way into American grocery stores.
Other importers of food from China have instituted more intensive
testing regimes for Chinese imports. From 2004 to 2009, Japan tested
between 15 and 18 percent of food products from China, and up to 38
percent of frozen vegetables.\35\
In 2007, the FDA's director of the Center for Food Safety and
Applied Nutrition stated that the growing Chinese food exports have
``outstretched and outgrown the regulatory system for imports in the
U.S.'' \36\ During the melamine-tainted pet food crisis, it took the
FDA one month to even identify their regulatory counterparts in
China.\37\
In 2007, China consented to allow FDA inspectors to be stationed in
China, and the FDA opened its first office in 2008.\38\ However, the
few FDA inspectors in China were overwhelmed by the sheer size of the
nations's food production, including an estimated 1 million food-
processing companies.\39\ Between 2001 and 2008, the FDA inspected 46
food firms in China--less than six a year.\40\ After the spate of
import scandals, the FDA increased inspections, but still only
conducted 13 food inspections in China from June 2009 to June 2010.\41\
In fiscal year 2012, FDA conducted 10 inspections of food facilities in
China.\42\ Recently, the agency instituted a sampling program for
Salmonella for pet food, pet treats and pet nutritional supplements,
but only for domestic products.\43\ The new testing program does not
cover imports, despite the large volume and troubled safety record of
pet food and treats imported from China.
Meat and poultry imports are the responsibility of the U.S.
Department of Agriculture. Until 2009, FSIS conducted in-depth annual
on-site audits of countries eligible to export meat, poultry and egg
products to the United States. The department recently announced that
in 2009 it made a major change to this system by ending annual visits
to exporting countries, and instead starting to rely on a ``Self-
Reporting Tool'' for countries as a substitute to annual audit visits.
With this change, USDA began conducting audit visits every three years
instead of annually and the agency stopped the practice of publishing
the audit results of individual foreign meat, poultry, egg plants that
exported products to the United States. This weakening of oversight of
foreign meat and poultry producers does not yet impact products from
China, because the country has not yet been approved to ship these
products to the United States. But China is in the process of being
certified ``equivalent'' to U.S. meat inspection standards and
therefore eligible to export products.
poultry
The USDA's actions with regard to China's interest in exporting
poultry products to the United States offers a telling example of how
the pressure to increase trade can leave food safety concerns as a
lower priority. Currently, the United States does not permit poultry
imports from China. U.S. agribusinesses have invested heavily in
Chinese chicken production and processing--both to feed Chinese
consumers and as a future export platform to U.S. consumers--and they
have been working to get USDA approval for Chinese poultry exports to
the United States.
In 2006, the USDA rapidly finalized China's request to begin
exporting processed chicken to the United States the very same day as a
visit from China's president.\44\ This action apparently prompted China
to resume negotiations over lifting its ban on American beef,
instituted in 2003 after the discovery of mad cow disease in the state
of Washington.\45\
Despite the Bush Administration's public blessing of Chinese
chicken, the USDA's internal inspection reports of Chinese poultry
facilities showed egregious food safety problems, including mishandling
raw chicken throughout the processing areas, failing to perform E. coli
and Salmonella testing, and routinely using dirty tools and
equipment.\46\ As these internal reports emerged, Congress refused to
implement the Bush Administration proposal, effectively maintaining a
ban on Chinese poultry imports.\47\
China contended the U.S. prohibition against chicken, produced in
unsafe plants with insufficient inspection, was an illegal trade
barrier. The World Trade Organization agreed in September 2010.\48\ The
same month, China announced it would impose high tariffs on American
chicken products for allegedly being priced too cheaply.\49\
In January 2011, Chinese President Hu Jintao again visited the
United States, cementing tens of billion of dollars in trade deals with
the Obama Administration.\50\ Shortly after this visit, the USDA
announced new steps it had taken to honor China's request to export
chicken to the United States.\51\
Currently, the USDA's Food Safety and Inspection Service is working
through the steps to approve China as an exporter of poultry products
to the United States, with the next step in the approval process
expected to be completed in the fall. This process continues to
proceed, even as the poultry sector in China is suffering mounting
economic damage from a growing avian influenza outbreak.\52\
The processed poultry products being considered for approval are
supposed to be made in Chinese plants from birds that have been sent
from ``approved'' sources, including the United States or Canada, but
not China. But without stationing USDA inspectors in Chinese processing
plants, it will be virtually impossible to verify that these products
are made from birds from approved sources rather than Chinese
producers.
organic and third party certification
Organic products from China have not been immune from food safety
concerns. Organic beans and berries imported from China have been
rejected by the FDA for high pesticide levels, despite the fact that
synthetic pesticides are not allowed under the USDA organic label.\53\
More recently, testing conducted by U.S. media outlets found pesticide
contamination of an organic ginger product sold in the United
States.\54\
According to USDA's National Organic Program, from 1995 to 2006,
the value of organic food exported from China rose from $300,000 to
$350 million and vegetables, field crops and tea were China's largest
organic exports.\55\ In 2006, there were 496 operations in China
certified as meeting U.S. organic standards and by 2010 that number had
risen to 649 operations.\56\
In the United States, the USDA sets organic standards and third
party certifiers are responsible for inspecting farms and food
processors to ensure they are meeting the standards. In 2010, the USDA
visited China to conduct an audit of four of the ten certifiers
operating there. The agency reported that conditions ``pose challenging
oversight duties and responsibilities for certifying agents operating
in China. Additionally, the size of China's land mass and higher
financial margins in the organic industry could pose potential for
fraud, especially by those outside of the organic certification
system.'' \57\
In 2010, USDA banned one of the third party certifiers operating in
China because the organization used Chinese government employees to
inspect state-controlled farms.\58\ But the challenge of operating
truly independent third party auditing or inspection operations in
China is not isolated to organic certification.
The FDA Food Safety Modernization Act, which became law in January
2011, instructs the FDA to establish a reliable system of audits
conducted by foreign governments or other third parties for imported
foods. A 2012 GAO report outlines the significant obstacles to doing
this.\59\ FDA has struggled in the past to oversee inspection
activities conducted on contract to the agency by state
governments,\60\ a task that should be much simpler than coordinating
with third parties and foreign governments around the world. To build
the infrastructure and IT system necessary to oversee third party
certifiers in countries such as China, where third parties and even
government agencies must be accredited by another government
agency,\61\ seems like it will be an extraordinarily challenging
project for the agency.
china's food safety system
Chinese officials have readily acknowledged the country's food
system as ``grim.'' \62\ The country's decentralized and overlapping
regulatory system has not been able to address China's sprawling food-
processing industry. Repeated government efforts to reform food safety
rules have so far failed to stem the tide of adulterated food. After a
major food safety law from 2009 went into effect, a professor at the
Chinese Academy of Governance stated that poor coordination between
agencies, lackluster enforcement and inadequate government oversight
hindered the enforcement of food safety laws.\63\ It remains to be seen
if an overhaul of the food safety system, announced in 2012, will
manage to coordinate efforts government-wide and tighten food safety
standards.\64\
The situation for Chinese consumers can be more dire than what U.S.
and other export customers face. China usually exports the highest-
quality food the country produces, leaving Chinese consumers vulnerable
to the lower-quality products that remain.\65\
Reports on food safety problems since 2009 yield a long list of
problems in both the domestic food supply and exported products. One
persistent trend is ``economically motivated adulteration,'' or what
has been described as a culture of adulteration in China's agricultural
sector.\66\ Melamine contamination in Chinese food continues to be a
problem, with a crackdown on melamine in milk powder in 2010 resulting
in 96 arrests and 26 public officials being fired \67\ and U.S.
regulators finding high levels of melamine in a dog food shipment in
January 2011.\68\ After increased attention to the problem of melamine,
some Chinese dairy producers appear to have switched to a new protein
adulterant that is even more difficult to detect--hydrolyzed leather
protein made from scraps of animal skin.\69\
Even veterinary drugs banned in China--such as clenbuterol,
administered to animals to give them leaner meat and pinker skin--
remain widely used in China despite years of documented consumer
illnesses from residues in meat and organs,\70\ and controversies over
athletes avoiding meat for fear of testing positive for the performance
enhancing drug.
Honey from China has continued to be a source of controversy.
Illegal antibiotics are commonly found in Chinese honey imports. China
dominates the international honey market and became the largest U.S.
honey source after joining the WTO, supplying more than 70 million
pounds by 2006.\71\ For years, regulators had closely scrutinized
Chinese honey for drug residues, including one that can be fatal.\72\
In 2010, the FDA seized large amounts of Chinese honey after finding
illegal antibiotics.\73\
Another trend is pesticide residues that remain on fruit,
vegetables and processed foods when they enter the food supply. China
is the world's largest pesticide producer and exporter.\74\ In 2010,
Chinese authorities found a banned, highly toxic pesticide in cowpeas,
a legume similar to black-eyed peas.\75\ China has largely failed to
address illegal or dangerous chemical residues on food, evident in its
weak maximum residue levels. The United States has established maximum
residue levels (MRLs) for 77 pesticides used in garlic production and
112 pesticides used in apples orchards; of these, China has only 2 and
23 MRLs, respectively.\76\
Since 2009, the Chinese government has made a point of making
public displays of enforcing food safety rules, inspecting food
facilities and punishing people connected with tainted food. News
reports frequently reference millions of inspections of facilities and
frequent ``crackdowns'' on particular products. A search of news
reports reveals a variety of enforcement efforts:
The scandal over melamine-contaminated infant formula
led to the execution of two people and prison terms for dairy
company executives.\77\
In 2011, industry and commerce authorities reported
62,000 cases of substandard food, leading to 43,000 unlicensed
operations being shut down and 251 cases being sent to the
judicial system.\78\
A 2011 crackdown on food safety violations resulted in
2,000 arrests and 4,900 businesses being closed.\79\
The Chinese news agency Xinhua reported in June 2012
that authorities shut down 5,700 unlicensed food businesses and
discovered 15,000 cases of ``substandard food'' so far that
year.\80\
In early May 2013, news reports described a Chinese
government campaign to break up a fake meat operation, leading
to arrests of more than 900 people accused of passing off more
than $1 million of rat meat as mutton.\81\
Ironically, the recent discovery of more than 7,000 dead pigs in
the Huangpu River was actually described in some media reports as ``an
encouraging step forward in Chinese public health,'' because it
indicated that rather than sell diseased animals into the food supply,
producers dumped them into the river instead.\82\
But despite the concerted effort to show that the government is
tough on food safety violators, problems persist. A small sample of
recent food safety problems:
In 2010, a scandal erupted over the use of food
coloring and bleach to plump up shriveled old peas so they
would appear fresh.\83\
Authorities detected plasticizers, chemicals linked to
immune and reproductive system damage, in samples of a leading
brand of a common distilled white liquor.\84\
Testing by Greenpeace of 18 varieties of tea found
that every sample contained at least three different kinds of
pesticides. 12 of the samples showed traces of banned
pesticides.\85\
In September 2012, FDA refused 10 shipments of canned
mushrooms from China due to pesticide contamination, resulting
in the Chinese government halting exports of canned mushrooms
to the United States.\86\
China Central Television reported in 2012 that testing
of preserved fruit from 16 different companies found excessive
pigments, bleaching agents and preservatives, as well as
incorrect expiration dates.\87\
The Xinhua News Agency reported in 2012 that wholesale
vegetable dealers in Shandong province were found spraying
cabbages with formaldehyde, presumably to preserve them during
transport without refrigeration.\88\
A 2012 report noted that fish vendors in Beijing were
using a chemical used for temporary dental fillings to
tranquilize fish during transport.\89\
Another recurring theme is lack of transparency. China's food
safety enforcement system lacks the transparency necessary to warn the
public about dangerous products or deter dangerous food-processing
practices. The USDA reports that the Chinese government zealously
guards the food safety data it collects, making it difficult to
impartially evaluate China's food safety performance.\90\ In 2010, some
officials criticized regional authorities that publicized a widespread
case of pesticide adulteration rather than obeying the ``unspoken
rule'' of keeping food safety problems hidden from the public.\91\ The
father of one child sickened by melamine-tainted milk powder was
jailed, and eventually paroled, for his activism on the issue.\92\
Lack of transparency is also evident in an ongoing problem with
imported pet treats from China. Since 2007, thousands of American dogs
have fallen ill or died after eating chicken jerky treats made in
China. The FDA reports ``from 2003, when China first approached the
USDA about poultry exports, to 2011, the volume of pet food exports
(regulated by the FDA) to the United States from China has grown 85-
fold.'' \93\ In August 2012, four months after visiting Chinese
processing plants that export pet treats to the United States, the FDA
published inspection reports that revealed that the factories refused
to allow U.S. inspectors to collect samples for independent
analysis.\94\ Ultimately, testing done by the New York Department of
Agriculture and Markets found contamination of some of the treats with
residues of an undisclosed antibiotic, triggering voluntary recalls of
the products by the manufacturer.\95\
imported pharmaceuticals from china
While Food & Water Watch does not work on the safety of
pharmaceuticals, we have been following some of the problems that have
surfaced with the safety of imported drugs, particularly from China. In
2011 testimony before the Senate Health, Education, Labor and Pensions
Committee, the Government Accountability Office noted that the number
of imported pharmaceuticals has more than doubled since 2002, with
China and India leading that growth. FDA was only able to conduct
inspections of a very small number of foreign drug facilities that
export to the U.S.\96\ In 2007 and 2008, the FDA discovered that there
was a large spike in the number of deaths of consumers who took the
blood thinner heparin. Heparin is made from the intestines of pigs and
because of the abundant supply of swine in China, it is the primary
source for crude heparin for U.S. drug manufacturers.\97\ As a result
of investigations conducted by the FDA and the Centers for Disease
Control, it was discovered that some of the Chinese crude heparin was
actually oversulfated chondroitin sulfate (OSCS). OSCS can easily be
confused for heparin in routine product testing. OSCS does not confer
the same medicinal benefits as heparin to patients who have to take the
drug and it is a cheaper substance. The FDA estimates that as many as
149 U.S. consumers died from the intentional economic adulteration of
this drug.\98\ The Chinese government has never accepted responsibility
for the contaminated heparin reaching our shores.
u.s. policies to address unsafe food imports
The WTO's Agreement on Agriculture has been a failure for farmers
in the United States and has encouraged the growth of export platforms
in places like China that benefit from low wages and weak regulatory
standards, putting consumers around the world at risk. Congress and the
Obama administration must revisit the current trade agenda to make
public health, environmental standards and consumer safety the highest
priorities when making decisions about trade policy. Specifically:
The USDA should restart the process of determining if
China's poultry inspection system is equivalent to the U.S.
system and conduct an entirely new investigation before
allowing Chinese poultry products to be exported to the United
States.
The USDA needs the resources to increase current
levels of inspection of imported meat and poultry. If Chinese
poultry products are approved for export to the United States,
the USDA should permanently assign inspection personnel to
China so that the exporting plants receive regular visits by
USDA inspectors.
The FDA needs the resources to effectively inspect the
growing volume of food imports from China and other countries.
Congress and the Obama Administration must provide adequate
funding to the FDA to increase import inspections, and to
increase the rigor of those inspections to include testing for
pathogens and chemical, pesticide and drug residues, and to
increase inspection of processed food ingredients.
The FDA needs the resources to conduct inspections in
food facilities in China, rather than relying on third-party
certifications of the safety practices used by exporting firms.
The use of third-party certifications in China has already been
shown to be questionable in the certification used for organic
products and in pilot projects on aquaculture conducted by the
FDA. This type of system should not be used as a substitute for
safety inspection by U.S. government inspectors.
The USDA should close the loopholes in the current
country of origin labeling rules and expand them to processed
meats, fruits and vegetables. Congress should also require
mandatory country of origin labeling for foods not currently
covered by existing law, to require basic manufacturing
information about where, and by what company, processed foods
were produced.
I would happy to answer any questions that you might have. Thank
you, again, for inviting Food & Water Watch to contribute to this
discussion.
----------------------------------------------------------------------------------------------------------------
U.S. Imports from China Share of U.S. Consumption
--------------------------------- (Millions of Pounds) ----------------------------------------------
--------------------------------- 4-Year
Food Product 2009 2010 2011 2012 2008 2009 2010 2011 Average
----------------------------------------------------------------------------------------------------------------
Tilapia 288.3 349.5 318.5 382.2 73.2% 77.8% 78.7% 80.2% 77.5%
----------------------------------------------------------------------------------------------------------------
Apple Juice (Mil. Gall.) 451.4 463.7 342.0 367.0 69.0% 70.0% 72.3% 49.6% 65.2%
----------------------------------------------------------------------------------------------------------------
Cod 63.2 71.4 78.9 70.7 59.4% 50.0% 50.4% 51.0% 52.7%
----------------------------------------------------------------------------------------------------------------
Mushrooms, Processing 78.1 78.6 68.2 68,4 53.7% 42.7% 22.4% 17.8% 34.1%
----------------------------------------------------------------------------------------------------------------
Garlic, All Uses 245.4 234.3 226.9 217.5 23.1% 22.8% 32.4% 31.3% 27.4%
----------------------------------------------------------------------------------------------------------------
Clams 17.0 19.8 24.1 27.4 9.0% 12.7% 19.0% 23.5% 16.1%
----------------------------------------------------------------------------------------------------------------
Spinach, Frozen 32.2 32.5 36.2 39.3 16.0% 21.5% 15.3% 11.0% 16.0%
----------------------------------------------------------------------------------------------------------------
Crab 18.9 23.7 22.9 22.9 15.0% 10.4% 13.5% 14.3% 13.3%
----------------------------------------------------------------------------------------------------------------
Salmon 71.4 88.1 86.4 72.7 10.8% 11.1% 14.4% 14.3% 12.7%
----------------------------------------------------------------------------------------------------------------
Peaches, Canned 91.8 109.8 92.0 98.5 11.8% 9.1% 9.0% 8.1% 9.5%
----------------------------------------------------------------------------------------------------------------
Cauliflower, Processing 11.1 8.9 1.3 8.1 12.0% 14.6% 7.8% 0.9% 8.8%
----------------------------------------------------------------------------------------------------------------
Shrimp 97.1 106.0 94.7 78.6 8.6% 7.8% 8.7% 7.3% 8.1%
----------------------------------------------------------------------------------------------------------------
Pineapples, Canned 65.2 52.7 40.6 26.2 9.7% 8.7% 7.1% 5.8% 7.8%
----------------------------------------------------------------------------------------------------------------
Pears, Canned 53.0 57.2 49.4 50.7 7.3% 7.0% 7.6% 8.1% 7.5%
----------------------------------------------------------------------------------------------------------------
Asparagus, Frozen 1.4 1.1 0.8 0.2 10.7% 12.2% 3.4% 1.9% 7.1%
----------------------------------------------------------------------------------------------------------------
Catfish/Pangasius 22.8 17.9 10.8 7.9 2.7% 1.6% 14.4% 5.6% 6.1%
----------------------------------------------------------------------------------------------------------------
Broccoli, Processed 29.4 25.7 30,4 25.9 3.7% 4.9% 3.4% 3.7% 3.9%
----------------------------------------------------------------------------------------------------------------
Green Peas, Frozen 16.6 20.4 10.3 5.7 4.2% 3.5% 4.2% 2.3% 3.5%
----------------------------------------------------------------------------------------------------------------
Cherries, Sweet, Canned 0.1 0.6 0.0 0.3 0.0% 1.9% 8.4% 3.4%
----------------------------------------------------------------------------------------------------------------
Onions, Dried 5.5 4.3 2.8 3.1 5.9% 5.1% 0.9% 0.6% 3.1%
----------------------------------------------------------------------------------------------------------------
Apples, Canned 32.4 18.7 17.4 31.9 2.5% 3.0% 1.8% 1.8% 2.3%
----------------------------------------------------------------------------------------------------------------
Canned Tuna 18.6 17.6 40.7 52.5 0.0% 1.9% 2.1% 5.1% 2.3%
----------------------------------------------------------------------------------------------------------------
Pears, Fresh 24.3 11.6 13.8 12.4 2.8% 2.5% 1.2% 1.5% 2.0%
----------------------------------------------------------------------------------------------------------------
Strawberries, Frozen 7.1 10.8 9.1 5.7 1.2% 1.3% 0.0% 0.0% 0.6%
----------------------------------------------------------------------------------------------------------------
Mushroom, Fresh 10.6 10.6 11.4 13.0 1.3% 1.4% 1.4% 1.4% 1.4%
----------------------------------------------------------------------------------------------------------------
Artichoke, All Uses 3.5 2.1 2.4 1.4 1.6% 1.9% 0.5% 0.5% 1.1%
----------------------------------------------------------------------------------------------------------------
Sources: USDA FAS GATS database; USDA Economic Research Service. Vegetable and Melon Yearbook 2011 and Fruit and
Tree Nut Outlook 2012; U.S. National Fisheries Institute. ``Top 10 Consumed Seafoods.'' 2012.
[GRAPHIC(S) NOT AVAILABLE IN TIFF FORMAT]
* * * * * * *
Notes
\1\ U.S. Government Accountability Office. ``Food Safety: FDA Can
Better Oversee Food Imports by Assessing and Leveraging Other
Countries' Oversight Resources.'' GAO-12-933. September 2012 at 1 and
5.
\2\ U.S. Department of Agriculture Economic Research Service (USDA
ERS). Table 1--Import Shares of US food consumption using the volume
method. May 30, 2012. Available at http://www.ers.usda.gov/topics/
international-markets-trade/us-agricultural-trade/import-share-of-
consumption.aspx#import. Accessed April 22, 2013.
\3\ Lohmar, Bryan et al. USDA ERS. ``China's Ongoing Agricultural
Modernization.'' EIB-51. April 2009 at 1.
\4\ United Nations Food and Agriculture Organization (UN FAO).
FAOStat. Country rank in the world, by commodity (quantity): China.
Based on most recent data available, 2008. Available at http://
faostat.fao.org/. Accessed December 14, 2010.
\5\ Barboza, David. ``U.S. Court Fines Chinese Vitamin C Makers.''
New York Times. March 15, 2013.
\6\ ``Mix of chemicals may be key to pet-food deaths.'' CNN. May 1,
2007; U.S. Government Accountability Office. ``Food and Drug
Administration Overseas Offices have Taken Steps to Help Ensure Import
Safety, but More Long-Term Planning is Needed.'' GAO-10-960. September
2010 at 1.
\7\ Barboza, David and Alexei Barrionuevo. ``Filler in Animal Feed
is Open Secret in China.'' New York Times. April 30, 2007; Barboza,
David. ``Discovery of Melamine-Tainted Milk Shuts Shanghai Dairy.'' New
York Times. January 2, 2010.
\8\ ``Mix of chemicals may be key to pet-food deaths.'' CNN. May 1,
2007.
\9\ Barboza, David. ``An Export Boom Suddenly Facing a Quality
Crisis.'' New York Times. May 18, 2007; USDA. Press release. ``Joint
Update: FDA/USDA Update on Tainted Animal Feed.'' Release No. 0121.07.
March 2, 2007.
\10\ Gale, Fred and Jean Buzby. USDA ERS. ``Imports from China and
food safety issues.'' Economic Information Bulletin No. 52. July 2009
at 10.
\11\ U.S. Department of Agriculture Foreign Agricultural Service
(USDA FAS). Global Agricultural Trade System (HS-10: 2301000901,
2309100010.)
\12\ Food and Drug Administration. Public Health Focus: Melamine
Contamination in China. January 5, 2009. Available at http://
www.fda.gov/NewsEvents/PublicHealthFocus/ucm179005.htm.
\13\ Ee Lyn, Tan. ``China eyes milk test after melamine deaths
scandal.'' Reuters. June 15, 2010; Peterkin, Tom. ``China milk scandal:
53,000 children fall ill from contaminated milk powder.'' The (London)
Telegraph. September 22, 2008.
\14\ Ee Lyn. June 15, 2010.
\15\ Spears, Lee and Helen Yuan. ``China withdraws milk as Fonterra
decries Sanlu delay.'' Bloomberg News. September 24, 2008.
\16\ Spencer, Richard. ``China tainted milk scandal: Heinz and Mars
drawn in.'' The (London) Telegraph. September 30, 2008; ``Melamine
found in Cadbury goods.'' BBC. September 29, 2008; ``Melamine found in
more Chinese-made food products.'' New York Times. September 26, 2008;
Koo, Heejin. ``South Korea orders Mars, Nestle to recall products.''
Bloomberg News. October 4, 2008; YUM! Brands. U.S. Securities and
Exchange Commission. SEC filings 10-k. 2007 at 3. Spencer. The (London)
Telegraph.
\17\ US Honey Makers Take a Swat at Chinese Smugglers. Andrew
Schneider. AOL News. May 6, 2010.
\18\ Murphy, Joan. ``Anti-dumping probe links large China shrimp
exporter to transshipment.'' Food Chemical News. September 28, 2012.
\19\ Food Sentry. Preliminary Analysis of International Food Safety
Violations. Available at http://www.foodsentry.org/preliminary-
analysis-of-international-food-safety-violations/. Accessed April 22,
2013.
\20\ Baertlein, Lisa. ``U.S. Shoppers Wary About China Food Safety:
Survey'' Reuters. January 19, 2011.
\21\ ``Nearly 70% of Chinese Consumers Do Not Trust Food Safety.''
Arirang News. January 3, 2011.
\22\ USDA FAS. Global Agricultural Trade System. Available at
www.fas.usda.gov/gats/. (Food includes consumption imports of meat;
fish & seafood; dairy; vegetables, fruits & nuts, coffee, tea & spices;
cereals, oil seeds; fats; meat & fish preparations; sugar &
confectionery; cocoa; cereal & dairy preparations; vegetable & fruit
preparations; and miscellaneous edible preparations contained in two-
digit harmonized codes: HS-2: 02, 03, 04, 07, 08, 09, 10, 11, 12, 15,
16, 17, 18, 19, 20, 21, 22.)
\23\ USDA FAS. Global Agricultural Trade System database for meat;
fish & seafood; dairy; vegetables; fruits & nuts; coffee, tea & spices;
cereals, flours and oilseeds; fats; meat and fish preparations; sugar
and confectionary.
\24\ USDA FAS. Global Agricultural Trade System.
\25\ Gale, Fred et al. USDA Economic Research Service (ERS).
``Investment in Processing Industry Turns Chinese Apples Into Juice
Exports.'' FTS-344-01. October 2010 at 3.
\26\ Gale and Buzby. USDA ERS. (2009) at iii; USDA FAS. Global
Agricultural Trade System. USDA FAS GATS database; USDA ERS. Vegetable
and Melon Yearbook 2011 and Fruit and Tree Nut Outlook 2012.
\27\ USDA ERS. Fruit and Tree Nut Outlook Yearbook. 2010 at Table
16.
\28\ USDA FAS. Global Agricultural Trade System. (Garlic, HS-10:
0703200020, 0703200010, 0712904040, 0712904020); USDA ERS. Vegetables
and Melons Yearbook Data. 2009 (Updated May 20, 2010) at Table 5.
\29\ Lee, Don. ``China's additives on menu in U.S.'' Los Angeles
Times. May 18, 2007.
\30\ USDA FAS. Global Agricultural Trade System. (HS-10:
2912410000); Lee (2007).
\31\ USDA FAS. Global Agricultural Trade System. (HS-6, 170490);
Johnson, Tim. ``China corners vitamin market.'' Seattle Times. June 3,
2007.
\32\ USDA FAS. (HS-4, 1902 and 1905; HS-4, 2103; HS-10, 2309100090,
2039100010.)
\33\ FDA. Import Refusal Database. Available at
www.accessdata.fda.gov/scripts/importrefusals/. Accessed January-
February 2011.
\34\ FDA. Combined Field Activities--ORA. Program Activity Data.
Field Foods Program Activity Data.
\35\ Matsuda, Akane. ``Food Safety Issues in the Vegetable Trade
Between China and Japan: What Is Required to Establish Effective Food
Safety Systems in the Bilateral Food Trade?'' MPP Essay. Oregon State
University, June 14, 2010.
\36\ MacLeod, Calum. ``China details new food-quality measures.''
USA Today. September 13, 2007.
\37\ GAO (2010) at 12.
\38\ Weisman, Steven. ``China agrees to post U.S. safety officials
in its food factories.'' New York Times. December 12, 2007; Zhe, Zhu.
``U.S. food, drug agency opens Beijing office.'' China Daily. November
20, 2008.
\39\ Lohmar, Bryan et al. USDA ERS. ``China's Ongoing Agricultural
Modernization.'' EIB-51. April 2009 at 24.
\40\ Shames, Lisa. ``Food Safety: FDA Could Strengthen Oversight of
Imported Food by Improving Enforcement and Seeking Additional
Authorities.'' GAO-10-699T. Testimony before the Subcommittee on
Oversight and Investigations, U.S. House of Representatives Committee
on Energy and Commerce. May 20, 2010 at 5.
\41\ GAO. (2010) at 17.
\42\ FDA. Combined Field Activities--ORA. Program Activity Data.
Field Foods Program Activity Data.
\43\ Food and Drug Administration. ``CVM Issues Assignment to
Collect and Analyze Samples of Pet Foods, Pet Treats, and Pet
Nutritional Supplements in Interstate Commerce in the United States for
Salmonella.'' March 22, 2013.
\44\ Quaid, Libby. ``U.S. to allow processed poultry shipments from
China.'' Associated Press. April 20, 2006; 71 Fed. Reg. 20867-20871.
\45\ Quaid. April 20, 2006; ``U.S. tries to sell beef to China amid
food disputes.'' Reuters. June 29, 2007.
\46\ USDA Food Safety and Inspection Service. ``Final report of an
initial equivalence audit carried out in China covering China's poultry
inspection system.'' May 17 2005 at 9-11.
\47\ Pub. L. 110-161. Title VII. Sec. 733.
\48\ World Trade Organization. ``United States--Certain Measures
Affecting Imports of Poultry from China: Report of the Panel.'' WT/
DS392/R. September 29, 2010 at 183-184.
\49\ ``China to levy anti-dumping duty on U.S. Poultry.'' Bloomberg
News. September 26, 2010.
\50\ Oliphant, James. ``Obama and Hu Jintao pledge cooperation,
downplay differences.'' Los Angeles Times. January 19, 2011.
\51\ Bottemiller, Helena. ``USDA Petitioned to Block Chinese
Poultry,'' Food Safety News. January 31, 2011.
\52\ UPI. ``China avian flu hits poultry sector, losses mount.''
April 16, 2013.
\53\ Gale and Buzby (2009) at 17.
\54\ Clapp, Stephen. ``USDA bans organic certification agency from
operating in China.'' Food Chemical News. June 21, 2010.
\55\ U.S. Department of Agriculture National Organic Program (USDA
NOP). ``2010 Organic Assessment of China.'' July 2011 at 3.
\56\ USDA NOP (2011) at 4.
\57\ USDA NOP (2011) at 9.
\58\ Clapp, Stephen. (2010).
\59\ GAO (2012).
\60\ GAO (2012) at 25.
\61\ GAO (2012) at 19.
\62\ ``Food safety situation still grim in China.'' Associated
Press. March 3, 2009.
\63\ ``Chinese lawmakers call for enhancing supervision of food
safety.'' Xinhua. February 25, 2010.
\64\ ``China Releases Five Year Food Safety Plan.'' Food Safety
News. June 18, 2012.
\65\ Bodeen, Christopher. ``Here we go again: China denies food
safety Issues.'' Associated Press. May 23, 2007.
\66\ Barboza and Barrionuevo (2007).
\67\ ``96 arrested in China for selling adulterated milk powder.''
IANS. January 13 2011.
\68\ FDA. Import Refusal Report Database. Refusal Actions by FDA as
Recorded in OASIS for China. January 2011. Accessed March 2, 2011 with
code 72BCT99.
\69\ Olesen, Alexa. ``China warns dairy producers inspectors
watching for toxic melamine and leather protein in milk.'' Associated
Press. February 17, 2011.
\70\ Olesen, Alexa. ``Skinny pigs, poison pork: China battles farm
drugs.'' Associated Press. January 24, 2011.
\71\ USDA FAS. (HS-10: 04090000); FAO STAT. Country rank in the
world, by commodity (quantity): China. Based on most recent data
available, 2008. Accessed December 14, 2010.
\72\ Schneider, Andrew. ``Country of Origin no Guarantee on Cheap
Imports.'' Seattle Post-Intelligencer. June 5, 2009.
\73\ Fulton, April. ``FDA seizes tainted Chinese honey after Sen.
Schumer raises fuss.'' National Public Radio. June 11, 2010.
\74\ Zhang, WenJun, FuBin Jiang, and Jiangfeng Ou. ``Global
pesticide consumption and pollution: with China as a focus.''
Proceedings of the International Academy of Ecology and Environmental
Sciences. 2011. 1(2): 125-144.
\75\ Wong, Edward. ``Officials in China at odds over food
scandal.'' New York Times. March 2, 2010.
\76\ USDA FAS. International Maximum Residue Levels Database.
Available at www.mrldatabase.com/. Accessed March 2011.
\77\ ``China vows harsh penalties for food safety crimes.''
Associated Press. September 16, 2010.
\78\ ``62,000 illegal food cases in 11 months of 2011.'' Xinhua.
January 10, 2012.
\79\ Ramzy, Austin. ``China Food Safety: Big Crackdown, but Big
Concerns Remain.'' Time. August 5, 2011.
\80\ McDonald, Mark. ``From Milk to Peas, A Chinese Food-Safety
Mess.'' International Herald Tribune. June 21, 2012.
\81\ Martina, Michael and Sally Huang. ``Chinese police bust
million-dollar rat-meat ring.'' Reuters. May 3, 2013.
\82\ Barboza, David. ``A Tide of Death, but This Time Food Supply
Is Safe.'' New York Times. March 14, 2013.
\83\ Yan, Wang. ``Fake green peas latest food scandal.'' China
Daily, China. March 31, 2010.
\84\ ``China media: Chinese liquor scandal.'' BBC News. November
22, 2012.
\85\ Greenpeace. ``Pesticides: Hidden Ingredients in Chinese Tea.''
2012 at 1-2.
\86\ Booth, Amy. ``Residue concerns keep Chinese canned mushrooms
off U.S. market.'' Food Chemical News. November 23, 2012.
\87\ ``Preserved fruit in China Tainted.'' The New Paper. April 30,
2012.
\88\ ``Chinese sellers accused of spraying cabbage with
formaldehyde.'' Associated Press. May 7, 2012.
\89\ Zuo, Mandy. ``Dental cement used to calm fish.'' South China
Morning Post. March 22, 2012.
\90\ Gale and Buzby (2009) at 4.
\91\ Wong. March 2, 2010.
\92\ MacLeod, Calum. ``China's organic farms rooted in food safety
concerns.'' USDA Today. January 24, 2011.
\93\ FDA. ``FDA Investigates Animal Illnesses Linked to Jerky Pet
Treats.'' September 14, 2012. http://www.fda.gov/AnimalVeterinary/
SafetyHealth/ProductSafetyInformation/ucm319463.htm
\94\ Aleccia, JoNel. ``China stiff-arms FDA on jerky pet treat
testing, reports show.'' NBCnews.com. August 22, 2012.
\95\ FDA. Recall--Firm Press Release. ``Milo's Kitchen Voluntarily
Recalls Chicken Jerky and Chicken Grillers Homestyle Dog Treats.''
January 9, 2013.
\96\ Crosse, Marcia. Testimony before the Senate Health, Education,
Labor, and Pensions Committee. ``Drug Safety: FDA Faces Challenges
Overseeing the Drug Manufacturing Supply Chain.'' September 14, 2011.
GAO-11-936T.
\97\ U.S. Government Accountability Office. ``Report to the Ranking
Member, House Energy and Commerce Committee, Food and Drug
Administration: Response to Heparin Contamination Helped Protect Public
Health; Controls That Were Needed for Working with External Entities
Were Recently Added.'' October 2010. GAO-11-95.
\98\ U.S. Food and Drug Administration. ``Information on Adverse
Event Reports and Heparin.'' Available at http://www.fda.gov/Drugs/
DrugSafety/PostmarketDrugSafetyInformationforPatientsandProviders/
ucm112669.htm
______
Prepared Statement of Hon. Sherrod Brown, a U.S. Senator From Ohio;
Chairman, Congressional-Executive Commission on China
may 22, 2013
Thank you for attending this timely hearing. I'd like to thank the
distinguished panelists for being here to help raise awareness about
this important topic.
I'd also like to welcome the newest members of the Commission,
Congressman Frank Wolf, Congressman Robert Pittenger, and Congressman
Mark Meadows, and hope that the remaining appointments to the
Commission will be made soon.
In recent months, the world has once again been reminded just how
closely our health and safety is tied to China.
The current bird flu outbreak has claimed 36 lives and has spread
to Taiwan.
The discovery of 20,000 dead pigs floating in Shanghai and rat meat
being passed off as lamb have renewed concerns about the safety of
China's food exports.
Pollution in Beijing and other cities has reached intolerable
levels.
And this spring marks the height of the SARS crisis ten years ago,
which took 774 lives and touched nearly every corner of the globe.
The risk to Americans has increased since we expanded trade
relations with China without both providing for mechanisms to ensure
safe imports, and without properly equipping our safety agencies with
tools to ensure safe food.
In 2001, when China entered the World Trade Organization, the total
amount of Chinese goods exported to the United States was $102 billion.
In 2012, that number had reached a staggering $426 billion.
From 2001 to 2012, China's food exports to the United States
reportedly tripled.
Between 2003 and 2011 the volume of pet food exports from China to
the United States grew 85-fold.
Americans today might be surprised to learn just how much of their
food and drugs are made in China. Some 80 percent of our tilapia, 50
percent of our apple juice, and 30 percent of our garlic comes from
China.
This increased reliance on China has had grave consequences. In
2007, 149 Americans died after taking Heparin, a widely used blood
thinner, linked to contaminants from Chinese workshops. Thousands of
U.S. pets have died as a result of tainted treats from China.
Part of the problem is that some of our companies are all too
willing to take advantage of China's lax safety standards, creating an
un-level playing field for our home-grown producers.
But just as important has been China's failure to provide its
citizens basic rights.
Chinese citizens lack the political freedom to elect officials
responsive to their concerns.
There is no free press to help bring problems to public light
There are no independent courts to ensure officials and companies
follow the law.
And there is no free civil society to sustain long-term advocacy.
The costs of the current Chinese system are clear both to the
Chinese people and to consumers everywhere.
Without meaningful and effective pressure from their own citizens,
Chinese officials still too often choose secrecy over openness and
accountability.
Congress must also give close examination to our agencies
responsible for safe drugs, food, and products and to the rules of
international trade agreements, to ensure we do not lower standards.
I look forward to the testimony of our witnesses, and turn to
Congressman Smith for his statement.
______
Prepared Statement of Hon. Christopher Smith, a U.S. Representative
From New Jersey; Cochairman, Congressional-Executive Commission on
China
may 22, 2013
Welcome to our distinguished witness to this hearing on the
important issues of food and drug safety, public health, and the
environment in China. I also want to thank the staff of this commission
for their work to raise awareness about these three issues, as well as
other human rights, rule of law, and governance issues.
Problems in the areas of food and drug safety, public health, and
the environment deserve greater attention, research, and action; they
affect countless people inside and outside of China. We hope to raise
the visibility of these issues and that the Chinese government will
respond in action, as well as words, to address the concerns of Chinese
citizens and of all peoples who may be affected by imports of unsafe
Chinese foods and drugs, by harmful pollution originating in China, or
by public health crisis that take root in China.
While China has had impressive economic growth for decades, it lags
behind in ensuring the rights of its citizens, and in developing
transparency, official accountability, the rule of law, things it
sourly needs to tackle these three issues.
Transparency is absolutely necessary for any government to protect
the health of its citizens and to effectively manage problems related
to food and drug safety, and public and environmental health.
Therefore, it is unfortunate that it took about three weeks for Chinese
health officials to make public information about the recent outbreak
of bird flu.
It is also unfortunate that authorities continue to deny citizens
information on the levels of soil contamination across the country,
despite media and citizen requests for that information. Soil
contamination has led to high levels of cadmium in at least 44 percent
of the rice in at least one southern province. Authorities revealed the
names of 8 brands which had been affected only after widespread
criticism in the media and online regarding officials' original
statement that it was ``not convenient to reveal'' the names of the
brands. It is unconscionable for authorities to put the health of
Chinese citizens at risk by withholding this information to protect the
images of the government and specific companies.
In the past few months, over 20,000 pig carcasses have floated down
rivers near Shanghai, but the Chinese government claims that there is
no harm done to food or water quality. It is hard to get to the truth
because central authorities are trying to control media coverage of
these developments, telling journalists not to travel to locations to
investigate. Keeping the media, citizens, and groups in the dark
exacerbates food safety, health, and pollution problems.
The list of food and drug safety problems in China is long and
continues to grow. Some of the glaring problems over the last few years
include toxic preserved fruit, baby formula and milk tainted with
melamine, and produce contaminated by pesticides, just to name a few.
94 million people in China become ill annually from food-borne
diseases, and over 8,000 of these people die.
These safety problems affect Americans. Between 2006 and 2010, U.S.
officials prevented some 9,000 unsafe Chinese products from entering
the United States. Chinese authorities' attempts to reign in the
problems have not worked. Major corruption scandals in the food and
drug agencies over the last few years indicate the top-down
accountability systems are not working.
The health of women due to the tragic forced abortions conducted
under the coercive one-child policy which has been covered under
previous hearings continues to cause tremendous pain and suffering both
physical and emotional for millions.
Chinese leaders continue to make commitments to improve food and
drug safety at some future date, but when people are getting sick and
dying, patience is no longer possible.
Authorities in China need to be held accountable for implementing
and enforcing laws the food and drug safety, public health, and
environmental sectors. One of the ways to do that is to have authentic
public oversight. Unfortunately, Chinese authorities continue to limit
the growth of authentic civil society and citizen and group
participation in policymaking and oversight processes is still very
low.
Submission for the Record
----------
Written Statement Submitted for the Record by Elizabeth Economy, C.V.
Starr Senior Fellow and Director for Asia Studies, Council on Foreign
Relations
may 22, 2013
China's Environmental Governance Crisis
introduction
The Chinese government has traditionally placed limited value on
transparency. Neither the political values of the Communist Party nor
the institutional processes of the government inherently support
sharing of information between the state and society or within the
state itself. Recently, for example, the government announced that the
results of a soil contamination survey indicated that 10 percent of all
Chinese soil was contaminated with heavy metals and other pollutants.
Yet it refused to release any further information on the grounds that
the survey was a ``state secret.'' \1\ Transparency in China is
unpredictable and episodic.
---------------------------------------------------------------------------
\1\ Christina Larson, ``Soil Pollution Is a State Secret in
China,'' Bloomberg BusinessWeek, February 25, 2013,
www.businessweek.com/articles/2013-02-25/soil-pollution-is-a-state-
secret-in-china.
---------------------------------------------------------------------------
Nonetheless, within the past five years or so, the Chinese people
have begun to demand greater transparency on issues that directly
affect their well-being, such as the environment. Non-governmental
organizations and the Internet increasingly bring the type of
transparency that the people desire, sometimes working with, but more
often working around, the country's formal political institutions.
to what extent is china forthcoming?
The Chinese government does transmit some environmental
information. The Ministry of Environmental Protection publishes an
annual report with nationwide statistics on a range of issues,
including water and air pollution, wastewater treatment, and land
degradation. There is also a 2008 law designed to ensure that citizens
have access to government information on environmental data. More
recently, Beijing announced an initiative requiring that local
governments above the county level inform the Ministry of Water
Resources about construction projects in order to prevent salt water
intrusion into strategic water reserves.\2\
---------------------------------------------------------------------------
\2\ Elizabeth Economy, ``The environment,'' in Handbook of China's
Governance and Domestic Politics, ed. Chris Ogden, (New York, NY:
Routledge, 2012), 199-209.
---------------------------------------------------------------------------
Yet passing laws and announcing initiatives on transparency are not
the same as actually implementing them. In 2005, the predecessor to the
Ministry of Environmental protection, the State Environmental
Protection Agency (SEPA), launched the Green GDP campaign, a project
designed to calculate the costs of environmental degradation and
pollution to local economies and provide a basis for evaluating the
performance of local officials. Several provincial leaders balked,
however, worried that the numbers would reveal the extent of the damage
suffered by the environment under their leadership. SEPA's partner in
the campaign, the National Bureau of Statistics (NBS), also undermined
the effort by announcing that it did not possess the tools to do Green
GDP accounting accurately, and that in any case it did not believe
officials should be evaluated on such a basis. After releasing a
partial report in September 2006, the NBS refused to release its
subsequent findings. While the initiative appeared to lay dormant for a
number of years, in 2013, following an air pollution crisis in Beijing
and other Chinese cities, the China Daily published a piece calling for
a renewed effort toward adopting a Green GDP, asserting, ``It is
generally believed that it is not technical limits but local
governments that have prevented such data from being released. Such
data releases might affect the promotion prospects of local officials.
It is clear that if China wants to press on with the uphill task, it
must first reshuffle its performance assessment methods for government
officials.'' \3\ The message is unequivocal: until local cadres are
held accountable for the environment by the central government, the
green implementation gap will remain.
---------------------------------------------------------------------------
\3\ China Daily, ``Green GDP needed,'' February 27, 2013, http://
www.chinadaily.com.cn/cndy/2013-02/27/content--16258973.htm.
---------------------------------------------------------------------------
A similar problem with implementation plagues other government
initiatives. The two most established formal mechanisms--public
participation in the review of environmental impact assessments (EIAs)
and the citizen complaint system--are only spottily implemented. With
regard to public participation in EIAs, as Chinese scholars have noted,
there are a number of limitations: only a small percentage of projects
are subjected to compulsory public participation; the timing and
duration of engaging the public is short; the method of selecting those
who can participate is often biased; and the amount of information
actually disclosed is often quite limited in an effort to prevent
social unrest.\4\
---------------------------------------------------------------------------
\4\ Yuhuan Zhang, Xiaowen Liu, Yunjun Yu, Guojian Bian, Yu Li, and
Yingxian Long, ``Challenge of Public Participation in China's EIA
Practice,'' (paper presented at the 32nd annual meeting of the
International Association for Impact Assessment, Porto, Portugal, May
27-June 1, 2012).
---------------------------------------------------------------------------
Chinese citizens also have the right to engage the system through a
formal complaint system: writing letters to local environmental
protection bureaus complaining of air, water, and waste pollution.
According to the 2010 Environmental Statistical Yearbook, in 2010,
there were over 700,000 such complaints.\5\ During the 11th Five-Year
Plan, the Ministry of Environmental Protection, itself, received
300,000 petitions on environmental matters. But resolution of these
issues remains difficult. All told, there were only 980 administrative
court cases about environmental impact assessments and only thirty
criminal cases from 2006 to 2010. It is estimated that not even 1
percent of environmental disputes are resolved in court.\6\
---------------------------------------------------------------------------
\5\ Ministry of Environmental Protection, ``2010 Environmental
Statistical Yearbook [2010 Nian Huanjing Tongji Nianbao],'', http://
wenku.baidu.com/view/b0111e88a0116c175f0e48d5.html.
\6\ Feng Jie and Wang Tao, ``Officials struggling to respond to
China's year of environmental protests,'' China Dialogue, June 12,
2012, http://www.chinadialogue.net/article/show/single/en/5438-
Officials-struggling-to-respond-to-China-s-year-of-environment-
protests-.
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how much freedom do chinese people have to monitor and report on these
issues and advocate for enforcement?
If Beijing does not rigorously implement and enforce its
environmental laws and regulations, Chinese non-governmental
organizations (NGOs) and the Chinese people stand ready to intervene.
Chinese environmental NGOs are at the forefront of pushing for greater
transparency and disclosure. The Institute for Public Environment,
headed by former journalist Ma Jun, for example, is renowned for its
work in exposing multinationals whose supply chains often include
small-scale factories that are violating environmental regulations.
Once Ma uncovers a wrongdoing, he contacts the multinational and offers
to work with it to get its environmental house in order. If the firm is
unresponsive, he will use the Chinese media to shame the company into
compliance. Greenpeace Beijing similarly applied the threat of media
exposure to elicit change from large corporations, and successfully
campaigned to persuade the supermarket group Metro to stop buying and
selling Asia Pulp and Paper's rainforest-destroying paper products in
China.
At the same time, some of the most challenging work in terms of
bringing transparency to the environmental system is pursued on the
legal front. Wang Canfa's Centre for Legal Assistance to Pollution
Victims (CLAPV) is one of the very few resources for Chinese citizens
who want to use a legal channel to pursue an environmental case. Over
the past ten years, CLAPV has handled over 200 environmental lawsuits
for pollution victims. In many instances, the media are an important
ally in the NGO's fight for environmental protection, helping to shame
polluters, uncover environmental abuse, and highlight environmental
successes. Still, merely gaining access to the data to enable a case to
be brought to trial remains a significant hurdle for many environmental
lawsuits.
Beginning in 2009, Ma Jun also partnered with the U.S. NGO the
Natural Resources Defense Council to launch an annual transparency
index, which ``ranks the performance of 113 major Chinese cities in
complying with environmental disclosure requirements.'' \7\ To
accomplish this, they are using the 2008 law mandating transparency
that Beijing, itself, could not effectively implement. While many
cities still refuse to release the data--even though it is required by
law--some Chinese officials have become fans of greater transparency as
result of the NGO's work. One official from Hunan Province People's
Congress uses his Weibo account to ``name and shame'' polluters,
leading one named company to put in place new environmental clean-up
technology.\8\
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\7\ Barabara Finamore, Wang Yan, Wu Qi, and Christine Xu, ``A Step
Forward for Environmental Transparency in China,'' National Resources
Defense Council Staff Switchboard Blog, March 29, 2013,
www.switchboard.nrdc.org/blogs/bfinamore/a--step--forward--for--
environment.html.
\8\ Ibid.
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The advent of the Internet has further contributed to the ability
of the Chinese people to apply bottom-up pressure for change, and has
provided an unprecedented level of transparency in the environmental
system, resulting in Internet petitions, water pollution maps
demarcating polluting factories, and pictures of polluted sites or
protesting Chinese. Urban residents also have become skilled at using
the Internet and mobile phone text messaging to organize environmental
protests.
In one celebrated case, the Internet became a lightning rod for
coalescing public opinion against local government regulations and
resulted in a change in policy. On December 5-6, 2011, smog forced the
cancellation of almost 700 flights at Beijing Capital Airport and
ignited a media firestorm. The Beijing Municipal Bureau of
Environmental Protection had reported the air pollution on December 5
as ``light.'' \9\ However, the U.S. Embassy in Beijing, which had been
Tweeting air quality numbers for several months, recorded the pollution
level as `beyond index.' There were important differences in the
pollutants on which Beijing reported (PM10) and those on
which the U.S. Embassy reported (PM2.5 and ozone), and how
each rated air quality, with the United States supporting tougher
standards and metrics. Under pressure from China's online citizens, or
netizens, the local Beijing environmental officials agreed to revamp
their system by 2016 to report on additional pollutants. Yet that did
not satisfy local residents. Real estate billionaire Pan Shiyi
conducted an online poll and discovered that 91 percent of the more
than 40,000 respondents believed that the government should immediately
match the U.S. Embassy's reporting quality. One month later Beijing
started to report on its air quality with the same statistical measures
as the U.S. Embassy (albeit only from one site in the city). Moreover,
on March 1, 2012, Beijing announced that it would extend its air
pollution monitoring network to all major cities including Shanghai,
Chongqing, and Tianjin in 2012, as well as incorporating 113 additional
cities in 2013.\10\ By 2015, China plans to have all medium-to-large
cities monitoring and reporting on their PM2.5 levels. Even
China's official news agency, Xinhua, commented that social networking
sites such as Weibo played an important role in spurring central
leaders to take action on the issue.\11\
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\9\ Lousia Lim, ``Clean Air A `Luxury' In Beijing's Pollution
Zone,'' NPR.org, December 7, 2011, http://www.npr.org/2011/12/07/
143214875/clean-air-a-luxury-in-beijings-pollution-zone.
\10\ Xinhua, ``PM2.5 in air quality standards, positive response to
net campaign,'' March 1, 2013, http://news.xinhuanet.com/english/china/
2012-03/01/c--122773759.htm.
\11\ Elizabeth Economy, ``The environment,'' in Handbook of China's
Governance and Domestic Politics, ed. Chris Ogden.
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Occasionally, even the government has begun to take advantage of
the Internet to garner support for particular initiatives. For example,
in the highly contentious South-North Water Transfer Project, netizens
on the nationalistic and popular ``Strengthening the Nation'' online
forum generally support the project, with some even arguing that
cutting of the Yarlung Tsangpo river would not only help solve China's
water shortage problems but also ``force India to compromise over
disputed territory by controlling their water flow.'' \12\ At the same
time, the Ministry of Water Resources, which does not support the third
leg of the project, used the Internet to publish a series of articles
less supportive of the project. Discussion on the project on their
website was largely negative, with some referring to Western sources
such as Jared Diamond and a movie about the National Parks Service to
support their cause for why the project should not move forward.
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\12\ Strengthening the Nation Blog, ``Make the Brahmaputra River
Flow into the Yangtze, the Distance Will Be the Smallest and the
Benefits Will Be the Largest [Yin Yalucangbujiang Zhi Shuiru Changjiang
Zhi Yuan, Juli Zuidian Xiaoyi Zuigao]'', February 8, 2009, http://
bbs1.people.com.cn/
postDetail.do?view=2&pageNo=1&treeView=0&id=90600434&boardId=2.
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The Internet also serves as an organizational tool for Chinese
citizens to spread information regarding protests. The lack of an
effective institutional mechanism for the Chinese people to participate
in the environmental policy-making process or to get redress through
the legal system has translated into a vibrant environmental protest
movement in China. When citizens' concerns are not addressed
satisfactorily, they turn to protest to make their voices heard, either
via the Internet or on the street. The environment has now surpassed
illegal land expropriation as the leading source of social unrest in
the China.\13\
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\13\ Bloomberg News, ``Chinese Anger Over Pollution Becomes Main
Cause of Social Unrest,'' March 6, 2013, http://www.bloomberg.com/news/
2013-03-06/pollution-passes-land-grievances-as-main-spark-of-china-
protests.html.
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In some cases, protests are virtual via the Internet. In late 2010,
Chinese netizens broke the story of a significant environmental
disaster in Jilin province, where thousands of barrels of pollutants
had been dumped into a water source by a local chemical plant. In the
ten days that it took Chinese officials to admit to the disaster,
thousands of citizens were informed of the cover-up via the Internet.
They responded by purchasing a massive amount of bottled water and
angrily denouncing the government's inaction. It was only after the
citizens refused to believe the official stories that the government
finally acknowledged the disaster and handed out free bottles of water
to those in the afflicted areas.\14\ Similarly, a year earlier in
Guangzhou, online transparency caused a reversal in local government
policy. Middle class-led protests over a planned incinerator were
picked up by young online netizens, who then spread the news through
social media websites. Even though the activists themselves were not
affected by the plans, they wanted the word to get out. Once enough
citizens became involved, the government agreed to halt the project
until a full environmental assessment was completed.\15\
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\14\ Elizabeth Economy and Jared Mondschein, ``China: the New
Virtual Political System,'' CFR.org (April 2011), http://www.cfr.org/
china/china-new-virtual-political-system/p24805.
\15\ Malcolm Moore, ``China's middle-class rise up in environmental
protest,'' The Telegraph, November 23, 2009, http://
www.telegraph.co.uk/news/worldnews/asia/china/6636631/Chinas-middle-
class-rise-up-in-environmental-protest.html.
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Even more threatening to authorities is the potential for
environmental protest to spread from one city to another. In July 2012,
for example, protests broke out in the southwestern province of
Sichuan, where citizens of the small city of Shifang were upset by a
planned molybdenum copper plant. The facility would be a $1.64 billion
project funded by the Sichuan Hongda Company,\16\ but residents of
Shifang, led by students and joined by others from nearby towns and
cities, feared that the plant would have a negative impact on the
environment and their health.\17\ The state-supported Global Times
estimated that several thousand protestors took part in the
protests,\18\ which turned violent, forcing the police to use tear gas
and stun grenades to disperse the crowds.\19\ Thirteen protestors were
injured \20\ and another twenty-seven were detained during the
protests, of which six were formally charged.\21\ On the third day of
demonstrations, local officials announced that the project would be
halted.\22\
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\16\ Brian Spegele, ``Planned China Metals Plant Scrapped,'' Wall
Street Journal, July 3, 2012, http://online.wsj.com/article/
SB10001424052702304211804577504101311079594.html.
\17\ BBC, ``China factory construction halted amid violent
protests,'' July 3, 2012, http://www.bbc.co.uk/news/world-asia-china-
18684895.
\18\ Ibid.
\19\ Spegele, ``Planned China Metals Plant Scrapped.''
\20\ BBC, ``China factory construction halted amid violent
protests.''
\21\ Caixin Online, ``Timeline of Shifang Protests,'' July 5, 2012,
http://english.caixin.com/2012-07-05/100407585.html.
\22\ Ibid.
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Later that month, inspired by Internet reports of the Shifang
protest, thousands of protesters took to the streets in Qidong, a
coastal city in the province of Jiangsu, to challenge a pipeline that
would discharge waste into the sea and potentially pollute a nearby
fishery, as well as contaminate drinking water.\23\ Worried that
wastewater originating from the Japan's Oji Paper Company in Nantong
city would not be cleaned properly, a thousand or more protestors
(Reuters reported there were about 1,000,\24\ while the Asahi Shimbum
estimated 10,000 \25\) damaged government buildings, cars, and property
on July 27.\26\ Some demonstrators clashed with police, and at least
one police car was overturned; hundreds of police arrived later in the
day to protect government offices.\27\ Fourteen people plead guilty to
encouraging the riot in which dozens of police were injured; the local
Communist party chief was stripped half-naked; and protestors caused
more than $20,000 of damage.\28\
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\23\ Jane Perlez, ``Waste Project Is Abandoned Following Protests
in China,'' The New York Times, July 28, 2012, http://www.nytimes.com/
2012/07/29/world/asia/after-protests-in-qidong-china-plans-for-water-
discharge-plant-are-abandoned.html?--r=0.
\24\ John Ruwitch, ``China cancels waste project after protests
turn violent,'' Reuters, July 28, 2012, http://www.reuters.com/article/
2012/07/28/us-china-environment-protest-idUSBRE86R02Y20120728.
\25\ Bloomberg News, ``Chinese City Halts Waste Project After
Thousands Protest,'' July 29, 2012, http://www.bloomberg.com/news/2012-
07-29/chinese-city-halts-plant-s-waste-project-after-thousands-
protest.html.
\26\ Ibid.
\27\ Ibid.
\28\ Associated Press, ``Chinese protesters plead guilty after
water pollution riot in Qidong,'' January 21, 2013, http://
www.guardian.co.uk/world/2013/jan/31/china-wastewater-pollution-riots-
qidong.
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Public transparency may have reached a new high in May 2013, when
Kuming, the capital city of the southwestern province of Yunnan, was
rocked by protests over plans by China National Petroleum Corporation
(CNPC) and the Yuntianhua Group to build a refinery in a nearby city of
Anning. Kunming's mayor Li Wenrong took the unusual step of announcing
that the government would cancel the project if ``most of our citizens
say no to it.'' \29\ In essence, Li was inviting a public referendum on
the project.
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\29\ Xinhua, ``Public opinion decisive in Kunming's controversial
chemical project: mayor,'' May 10, 2013, www.globaltimes.cn/content/
780724.shtml#.UZOCorXU-84.
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In virtually every instance of environmental protest in urban
areas, local governments respond by acceding to the demands of the
protestors. According to Ma Jun, director of the Institute of Public
Environment in Beijing, ``The next leadership of China is going to face
a challenge on these environmental issues, which the previous
leadership had not seen so strongly for thirty years. For the first
time, some local officials have begun to call us to learn more about
how these situations are handled in other countries--they really worry
about becoming the next protest targets.'' \30\
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\30\ Christina Larson, ``Protests in China Get a Boost From Social
Media,'' Bloomberg BusinessWeek, October 29, 2012, http://
www.businessweek.com/articles/2012-10-29/protests-in-china-get-a-boost-
from-social-media.
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conclusion
The Chinese government appears at a loss as to how to manage the
growing push from below for greater environmental transparency.
Ignoring the people's demands comes with a high price: growing societal
discontent and rising numbers of mass protests. Thus far, the
leadership appears willing to pay the cost. However, the long-term
effects--both on the environment and the leaders' own legitimacy--will
only continue to grow.
* The Council on Foreign Relations takes no institutional positions
on policy issues and has no affiliation with the U.S. government. All
statements of fact and expressions of opinion contained herein are the
sole responsibility of the author.