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Common Questions
Food Safety: Natural Flavorings on Meat and Poultry Labels

The USDA Meat and Poultry Hotline receives many questions about natural flavorings listed on meat and poultry labels. Below are answers to some of the most frequently asked questions.


What substances or ingredients can be listed as "natural flavor," "flavor," or "flavorings" rather than by a specific common or usual name?
Ingredients such as ginger, black pepper, onion powder, garlic powder, celery powder, and garlic oil may be listed as one of the three categories mentioned above. They may be designated as "natural flavors" because they are substances used chiefly for flavor. They do not make a nutritional contribution, are not derived from an animal species, and there are no health concerns linked to them.

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Can the terms "dried meat or poultry stocks," "dried broth," "meat extracts," and "dried beef plasma" be listed on meat and poultry labels as "natural flavorings"?
No. Substances derived from animal sources must be identified as to the species of origin on the label and be consistent with the definition established by Federal regulation. For example, the listing on the label would read "dried chicken stock," "lamb extract," or "dried beef plasma."

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If "pork extract" is added to a processed meat product for flavoring, can it be listed as "flavoring" in the ingredient statement or will it be identified as a "pork product"?
"Pork extract" will appear in the ingredient statement on the label. It is defined as a meat product by Federal regulation and will always be identified by its common or usual name.

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How will I know if there is monosodium glutamate (MSG) in a processed meat or poultry product?
MSG is classified as a flavor enhancer by Federal regulation. When it is added to a product, it must be identified as "monosodium glutamate" on the label.

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Are MSG and hydrolyzed protein related?
Yes. MSG is the sodium salt of glutamic acid. Glutamic acid is an amino acid, one of the building blocks of protein. It is found in virtually all food and, in abundance, in food that is high in protein, including meat, poultry, cheeses, and fish.

Hydrolyzed proteins, used by the food industry to enhance flavor, are simply proteins that have been chemically broken apart into amino acids. The chemical breakdown of proteins may result in the formation of free glutamate that joins with free sodium to form MSG. In this case, the presence of MSG does not need to be disclosed on labeling. Labeling is required when MSG is added as a direct ingredient.

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Can hydrolyzed animal or vegetable protein be identified as "natural flavoring" on the label?
No. FSIS regulation requires that animal or vegetable proteins must be specifically identified in the ingredient statement on the labels. The source of the protein must also be disclosed. On the label, you will read "hydrolyzed wheat protein" or "hydrolyzed milk protein," not just hydrolyzed protein.

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What Federal regulation defines what can be listed as a natural flavoring on the meat and poultry label?
On March 1, 1990, FSIS published the final rule, Ingredients That May Be Designated as Natural Flavors, Natural Flavorings, Flavors, or Flavorings When Used in Meat or Poultry Products. The rule did the following:
  • Defined the ingredients, i.e., spices, spice extractives, and essential oils, that may be declared as "natural flavors" or "flavors" on meat and poultry labels.
  • Required more specific listing of certain ingredients. Substances such as dried beef stock, autolyzed yeast, and hydrolyzed proteins must be listed on the label by their common or usual names because their purpose is not just for flavor. They are flavor enhancers, emulsifiers, stabilizers, and binders.
  • Required that the specific source of hydrolyzed protein be indicated on the label, for example, "hydrolyzed soy protein" or "hydrolyzed whey protein."


Last Modified: February 14, 2006

 

 

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