New #foodsafety #recall #undeclared #peanut #allergen in Izzy’s Maple Nut Ice Cream

Recall of Certain Lots of Izzy’s Maple Nut Ice Cream Due to Undeclared Peanuts

March 16, 2018

Contact

Consumers

Owner Jeff Sommers
 (651) 341-7709

 

General Manager Shannon Leach
 shannon@izzysicecream.com
 (612) 554-5196

Announcement

Izzy’s Ice Cream, LLC is voluntarily recalling limited numbers of its Maple Nut Ice Cream pints following a supplier’s recall of walnuts due to the possible presence of undeclared peanut residue. People who have an allergy or severe sensitivity to peanuts run the risk of serious or life-threatening allergic reaction if they consume these products
Product Information
The products were produced on January 29th, 2018, February 6th, 2018, February 12th, 2018, February 19th, 2018 and February 27th, 2018 and can be identified by the following codes on the bottom of the pint:
18012729 18020312 
18024706 18028819
18025206 18020327
18028806
Only Maple Nut Ice Cream products with these codes are affected. All other Izzy’s Ice Cream products are safe to eat.
Action Request
  • Please immediately examine any Izzy’s Maple Nut Ice Cream you have to determine if you have any recalled product.
No illnesses have been reported to date in connection with this problem. The recall was initiated after receiving notification from our nut supplier, Midwest Northern Nut, that nuts used in Maple Nut Ice Cream may have possible cross-contact with a peanut allergen.
For questions or information regarding this recall, please contact the following individuals: Izzy’s Owner Jeff Sommers (651-341-7709) or Izzy’s General Manager Shannon Leach (612-554-5196, shannon@izzysicecream.com).
Thank you for your help in maintaining our commitment to consumer safety. This recall is being made with the knowledge of the Food and Drug Administration.
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New #pharmaceutical #recall FDA Orders Mandatory Recall for Kratom Products Due to Risk of #Salmonella

FDA Orders Mandatory Recall for Kratom Products Due to Risk of Salmonella

April 3, 2018

Contact

Consumers

 888-INFO-FDA

Media

FDA Office of Media Affairs
 fdaoma@fda.hhs.gov
 301-796-4540

Announcement

Triangle Pharmanaturals refused to cooperate with FDA despite repeated attempts to encourage voluntary recall.
Today, the U.S. Food and Drug Administration announced it has issued a mandatory recall order for all food products containing powdered kratom manufactured, processed, packed, or held by Triangle Pharmanaturals LLC, after several were found to contain salmonella. The agency took this action after the company failed to cooperate with the FDA’s request to conduct a voluntary recall. This is the first time the agency has issued a mandatory recall order to protect Americans from contaminated food products.
The FDA is advising consumers to discard the products that are part of the mandatory recall, which include, but are not limited to: Raw Form Organics Maeng Da Kratom Emerald Green, Raw Form Organics Maeng Da Kratom Ivory White, and Raw Form Organics Maeng Da Kratom Ruby Red. The FDA understands that Triangle Pharmanaturals may manufacture, process, pack and/or hold additional brands of food products containing powdered kratom, including powder and encapsulated powder forms.
“This action is based on the imminent health risk posed by the contamination of this product with salmonella, and the refusal of this company to voluntarily act to protect its customers and issue a recall, despite our repeated requests and actions,” said FDA Commissioner Scott Gottlieb, M.D. “We continue to have serious concerns about the safety of any kratom-containing product and we are pursuing these concerns separately. But the action today is based on the risks posed by the contamination of this particular product with a potentially dangerous pathogen. Our first approach is to encourage voluntary compliance, but when we have a company like this one, which refuses to cooperate, is violating the law and is endangering consumers, we will pursue all avenues of enforcement under our authority.”
Mitragyna speciosa, commonly known as kratom, is a plant that grows naturally in Thailand, Malaysia, Indonesia and Papua New Guinea. Importantly, the FDA advises consumers to avoid kratom or its psychoactive compounds, mitragynine and 7-hydroxymitragynine, in any form and from any manufacturer. The agency also has received concerning reports about the safety of kratom, including deaths associated with its use. There is strong evidence that kratom affects the same opioid brain receptors as morphine and appears to have properties that expose people who consume kratom to the risks of addiction, abuse and dependence. The agency also remains concerned about the use of kratom as an alternative to FDA-approved pain medications or to treat opioid withdrawal symptoms, as neither kratom nor its compounds have been proven safe and effective for any use and should not be used to treat any medical conditions.
In this instance, two samples of kratom products manufactured by Triangle Pharmanaturals of Las Vegas, Nevada, sold through the retail location Torched Illusions in Tigard, Oregon and collected by the Oregon Public Health Division, tested positive for salmonella, as did four additional samples of various types of kratom product associated with the firm collected by the FDA. Adding to the concerns, in the course of investigating a multi-state outbreak of salmonellainfections linked to kratom products in conjunction with local officials, FDA investigators were denied access to the company’s records relating to potentially affected products and Triangle employees refused attempts to discuss the agency’s findings.
Under the FDA Food Safety Modernization Act, the FDA has the authority to order the recall of certain food products when the FDA determines that there is a reasonable probability that the article of food is adulterated or in violation of certain allergen labeling requirements and that the use of or exposure to such article will cause serious adverse health consequences or death to humans or animals. 
On March 30, the FDA issued Triangle Pharmanaturals a Notification of Opportunity to Initiate a Voluntary Recall, a formal request that advised the company that the agency could order the firm to cease distribution and notify applicable parties within 24 hours if the company did not conduct a voluntary recall. However, Triangle Pharmanaturals did not comply with the request. On March 31, the FDA then ordered the company to cease distribution of the products and the company was provided with an opportunity to request an informal hearing. The company did not respond within the timeframe specified, therefore waiving its opportunity for an informal hearing, and the agency ultimately issued the mandatory recall order in the interest of public safety. This is the third time the FDA has invoked its mandatory recall authority, but the first time the agency ordered a mandatory recall because a company has opted not to voluntarily recall after the FDA’s notification of an opportunity to initiate a voluntary recall.
Numerous brands of kratom-containing products have been linked to a multi-state outbreak of salmonellosis from multiple strains of salmonella. The FDA continues to advise consumers to avoid kratom and kratom-containing products and discard any in their possession. All salmonella bacteria can cause the foodborne illness salmonellosis, although the strains found in Triangle Pharmanaturals’ products are not currently linked to the outbreak. The FDA is working with the U.S. Centers for Disease Control and Prevention to continue to investigate the ongoing outbreak. Most people infected with salmonella develop diarrhea, fever and abdominal cramps 12 to 72 hours after infection. The illness usually lasts 4 to 7 days, and most people recover without treatment. However, in the current salmonellosis outbreak associated with kratom products, unusually high rates of individuals have been hospitalized for their illness.
If consumers have one or more of these products in their homes, they should discard them immediately. As a precaution, kratom no longer stored in its original packaging should be discarded and the containers used to store it should be thoroughly washed and sanitized. In order to prevent cross-contamination, consumers should wash their hands, work surfaces and utensils thoroughly after contact with these products, and not prepare any food in the area at the same time.
For more information:
# # #
The FDA, an agency within the U.S. Department of Health and Human Services, protects the public health by assuring 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 give off electronic radiation, and for regulating tobacco products.
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New #foodsafety #recall #undeclared #cashew #allergen in 130 lbs fully cooked ready-to-eat curry chicken salad products

Good Foods Group, LLC Recalls Ready-To-Eat Chicken Products Due to Misbranding and Undeclared Allergen

Class I Recall029-2018
Health Risk: HighApr 3, 2018
Congressional and Public Affairs
Autumn Canaday
(202) 720-9113
Press@fsis.usda.gov
WASHINGTON, April 3, 2018 – Good Foods Group, LLC, a Pleasant Prairie, Wis. establishment, is recalling approximately 130 pounds of fully cooked ready-to-eat curry chicken salad products due to misbranding and an undeclared allergen, the U.S. Department of Agriculture’s Food Safety and Inspection Service (FSIS) announced today. The products contain tree nuts, specifically cashews, a known allergen, which is not declared on the product label. 
The ready-to-eat curry chicken salad items were produced on March 27, 2018. The following products are subject to recall: [View Labels (PDF only)]
  • 130-lbs of 32 oz. deli cups with “GOOD FOODS, CURRY CHICKEN SALAD, MADE WITH WHITE MEAT CHICKEN” on the deli cup lid and “GOOD FOODS, ARTICHOKE & JALAPENO DIP, WITH rBST-FREE* GREEK YOGURT” on the side of the deli cup. The product bears lot code 489221-2B, with a time stamp range of 23:30 to 00:30.
The products subject to recall bear establishment number “P-45623” inside the USDA mark of inspection. These items were shipped to a retail locations in Illinois, Indiana, Kansas, Minnesota, Missouri, Nebraska and Wisconsin.
The problem was discovered on April 2, 2018 when the firm was notified by a customer that the deli cup container for the curry chicken salad products had a correct label on the lid, but an incorrect label on the side of the cup. The firm inadvertently labeled the side of the containers with labels for Artichoke & Jalapeno Dip, which does not contain cashews. Therefore, tree nuts (cashews) are not listed in the ingredient statement applied to the side of the cup.
There have been no confirmed reports of adverse reactions due to consumption of these products. Anyone concerned about an injury or illness should contact a healthcare provider.  
Consumers who have purchased these products are urged not to consume them. These products should be thrown away or returned to the place of purchase.
FSIS routinely conducts recall effectiveness checks to verify that recalling firms are notifying their customers of the recall and that actions are being taken to make certain that the product is no longer available to consumers. When available, the retail distribution list(s) will be posted on the FSIS website at www.fsis.usda.gov/recalls.
Consumers with questions about the recall can contact Good Foods Consumer Relations at 1 (844) 872-6999. Members of the media with questions about the recall can contact Jim Garsow, vice president of marketing for Good Foods Group, LLC, at (262) 806-0191.

When college is fun, I think the students learn more. Here is an example.

At the beginning of each semester (or new class), I pass around a sign in sheet for the students, with a spot for them to place their “preferred” name, such that a Joshua may preferred to be called Josh, and so forth. I had one student write a particularly funny name “Father Pellagrino”. Being that I love to have a little bit of humor, I told the student that if he could write a one page paper and convince me, I would happily call him by his preferred name. He proceeded to write the following (two page) paper, discussing why I should NOT call him by that name. He has given me permission to share it, and I have marked out his real name. Enjoy.
A Defense of Father Pellegrino/i
     Through the experiences bestowed upon us as a whole, one quickly learns that there is no greater dishonor than deceit. I bring this up because in the spirit of honesty, the name “Father Pellegrino” as a whole means very little to me. I had seen it in one image and thought it was quite humorous, so when I saw the option to name myself in my hospitality class, I decided I’d enter the first name that came to mind, which also explains my error in submitting “Father Pellegrino” instead of the correct “Father Pellegrini” as seen in the image. However, I beg you not to mistake my lack of attachment to the name as a lack of care and dedication for it.
     The name itself is quite ridiculous, and just the idea of a doctored professor addressing a student of his as “Father” is, to put it bluntly, unacceptable. I’d like to think of myself as reasonable, and I recognize that you can’t just address me as Father Pellegrini. However, I also recognize that without the word “father”, the name loses the initial charm that drew me to it initially, so after an excessive amount deliberation considering the subject matter, I decided that the most effective argument I could employ to convince you that I am indeed worthy of bearing the name “Father Pellegrini” would be to show you the name from my perspective.
     As I stated before, the name itself means very little to me. Meaning I don’t care if you actually call me “Father Pellegrini”. In fact, I’d prefer if you didn’t, and just stuck to my birth name, XXXXXXX. Still, it would mean a great deal to me to have the name written on a tent and placed on my desk. Imagine the reception some people would have to this joke when they saw it. Were it only written and not spoken, it would be subtle enough to maintain humor throughout these next eight weeks, but still stand out enough to match my personality and allow people to know a key cornerstone of my personality, my humor.
     Placing the name “Father Pellegrini” on my desk would effectively give me one of the best experiences I could ever hope for at this institution of learning. It’d be a story that I tell for years, perhaps even decades to come. I know that it’s a stretch, Dr. Mc Keown, but please, consider the possibility of bestowing me with the honor of a name tag that reads “Father Pellegrini”.
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In case you are wondering, I made him the name tent the way he asked, but his real name is forever marked in my brain.