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FDA Releases Findings on RTE Dips and Spreads

Ryan Maus · July 14, 2023 ·

In 2021, the U.S. Food and Drug Administration (FDA) conducted a routine assignment to collect domestic multi-commodity ready-to-eat (RTE) refrigerated dips and spreads to test for Listeria monocytogenes and Salmonella spp. The agency’s goal in conducting this assignment was to determine the prevalence of these pathogens in RTE dips and spreads and remove adulterated products from the market, when possible.

The assignment, which ran from March 2021 to January 2022, found that four out of the 747 samples tested were contaminated with Salmonella or L. monocytogenes. Ready-to-eat foods can become contaminated with environmental pathogens from harborage sites in the food manufacturing environment or process. Cross-contamination from ingredients can also occur.   Additionally, dips and spreads often have a pH and water activity that favor bacterial survival and outgrowth.  Consumers typically eat these dips and spreads without a ‘kill step,’ such as cooking, to reduce or eliminate any pathogenic bacteria that may be present. As such, dips and spreads contaminated with L. monocytogenes or Salmonella can present a significant public health risk. Ready-to-eat dips such as hummus and cheese spreads have been associated with multiple recalls over the past few years. The FDA’s assignment was initiated due to five recalls of hummus products and six recalls of multi-commodity dips found to be contaminated with L. monocytogenes or Salmonella from FY2017 through FY2020.

During the sampling assignment, the FDA identified Salmonella Havana in a sample of hummus from a retail establishment in California.  The FDA notified the manufacturer of the hummus and a recall was initiated.  The FDA conducted a follow-up inspection at the manufacturer of the contaminated product to evaluate the firm’s manufacturing operations and collect environmental samples. The FDA found that the firm did not establish and implement adequate written procedures for monitoring sanitation control procedures (i.e., cleanliness of food-contact surfaces). The environmental samples collected at the follow-up inspection did not yield any positive pathogens, however, the agency still issued a warning letter after the follow-up inspection.  After taking corrective actions, the firm was unable to identify a root cause for the Salmonella Havana contamination in the hummus.

The FDA identified L. monocytogenes in three samples from a retail establishment in Colorado and the agency notified the firm where the positive samples were manufactured. All three of the samples contaminated with L. monocytogenes were produced by the same manufacturer. Upon notification of the contaminated samples, the firm recalled and destroyed the products associated with the positive findings. The agency issued a Consumer Advisory in conjunction with the firm’s recall.

The agency conducted a follow-up inspection at the manufacturer of the three contaminated products. The follow-up inspection sought to evaluate the firm’s manufacturing operations and collect environmental samples to determine potential sources and routes of contamination. The FDA found L. monocytogenes in 23 swabs collected within the production environment, including samples collected from food contact surfaces. WGS analysis was conducted on the L. monocytogenes isolates obtained from both the retail product samples and the inspection environmental samples. The isolates were a genomic match to each other.

The FDA’s follow-up inspection determined the firm’s employees were not trained in food safety or hygiene practices and found multiple instances of deficient sanitation practices related to equipment, utensils, and employees. The agency determined that the firm did not respond appropriately to the positive samples identified in the sampling assignment and had not addressed objectionable conditions observed by the FDA during a previous 2020 inspection.  The firm went out of business at the end of June 2021.

Underscored in the FDA’s report is the necessity for manufacturing firms to have good manufacturing practices in place, as well as a proper environmental monitoring program and adequate training for its staff as part of their standard business operating procedures.

Deibel Laboratories has years of experience in conducting shelf-life studies, formulation reviews, and validations for refrigerated dips and spreads.  Our staff of industry experts is ready to assist you in assuring that your manufacturing processes and facilities comply with the stringent food safety standards required by the FDA and USDA.  With a complete suite of accredited pathogen testing methods and the testing capacity of 15 laboratories strategically placed throughout North America, Deibel Laboratories is your one-stop for assuring food safety compliance.

Contact us at Sales@DeibelLabs.com for more information about a laboratory near you. Visit us at https://deibellabs.com/services/deibel-guardianemp/ to learn more about our environmental monitoring program, Deibel GuardianEMPsm. Link to FDA findings: FY21-22 Sample Collection and Analysis of Domestic Refrigerated RTE Dips and Spreads | FDA

The Eight Most Important Recommendations for Controlling Listeria monocytogenes in Retail Delicatessens

Laurie Post · July 6, 2023 ·

The USDA Food Safety and Inspection Service (FSIS) recently published a guidance document that provides recommendations that retailers can use in delicatessens to control L. monocytogenes contamination of ready-to-eat (RTE) meat and poultry products. This 2023 document is a revised version of the 2015 FSIS Best Practices Guidance for Controlling Listeria monocytogenes (Lm) in Retail Delicatessens. It reflects the FSIS’s current thinking on this topic and is not a regulation. While focused on small firms, the recommendations made will be useful for all meat and poultry retail firms.


Recommendations are based on the joint FSIS, Food and Drug Administration (FDA), and Centers for Disease Control and Prevention (CDC) 2013 Listeria monocytogenes in Retail Delicatessens Interagency Risk Assessment. The assessment summarizes the risks posed by L. monocytogenes from the consumption of RTE foods commonly prepared and sold in retail delis.

The guidance addresses:

  • Actions retailers can take in the delicatessen (deli) area to decrease the potential for
    L. monocytogenes growth and cross-contamination.
  • Steps retailers can take to help ensure that deli products are maintained under sanitary conditions
    that do not allow L. monocytogenes adulteration of the product.
  • Information from the U.S. Food and Drug Administration’s (FDA) Food Code, scientific literature,
    other guidance documents, and lessons learned from meat and poultry establishments that
    retailers can use to control L. monocytogenes.
  • Helpful tools that retail firms can use to identify potential gaps in current best practice procedures.
  • The eight most important recommendations for retail deli operations.

Retailers can use the best practices identified in this guidance to help ensure that RTE meat and poultry products in the deli area are handled under sanitary conditions and are not adulterated, as defined in the Federal Meat Inspection Act (FMIA) and Poultry Products Inspection Act (PPIA).

While these practices are designed to control L. monocytogenes specifically, they also may help control other foodborne pathogens that may be introduced into the retail deli environment and other facilities where consumers take possession of food. No single action or practice will control L. monocytogenes contamination. Therefore, by following the best practices in this guidance and the Food Code, retailers can help ensure that RTE products are not adulterated with L. monocytogenes, and that the potential for listeriosis is decreased.

A Deli Self-Assessment Tool is provided for deli operators in Appendix A of this guidance to help them identify the best practices they are using and to assess whether they need to adopt others.

A Comprehensive Approach: The Eight Most Important Retail Deli Recommendations to Prevent
Conditions That May Cause Adulteration (Source: USDA FSIS

A Decision Guide for Determining Method Equivalence

Laurie Post · June 22, 2023 ·

Members of the Verification/Validation subgroup of IAFP’s Analytical Methods Professional Development Group (PDG) published a series of articles in Food Protection Trends discussing validation of new food matrices for use with accredited rapid methods. The focus has been on determining a more practical approach for conducting these type of studies. This most recent article “Evaluating Microbiological Method Equivalence – A Decision Guide” appears in the May/June 2023 issue of Food Protection Trends.

The selection of a validated microbiological method, whether a reference method or alternative rapid method, is a critical decision that affects a company’s assessment of the appropriateness of their Food Safety system. There are various factors that a laboratory can consider when determining which equivalent method to use including cost, time to results, or an affinity for a method they have been using for years. Many circumstances can arise that cause a laboratory to change methods. In such an event, how is a laboratory to determine whether two methods are equivalent to one another if neither of them is a reference method? A thought process to guide this decision is outlined in this article, providing a rationale to determine equivalency between a variety of accredited methods validated for the same matrix and sample size. This allows flexibility and choice so that laboratories are able to meet critical needs efficiently when situations arise such as kit shortages, equipment malfunction, and increasing costs.

Past publications in Food Protections Trends by the Validation and Verification Subgroup include:

“Alternative Approaches for Qualitative Microbiological Method Matrix Additions”
“Microbiological Detection Methods — Assuring the Right Fit”
“Selection of Pathogen Strains for Evaluating Rapid Pathogen Test Methods Applied to New Matrices”

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