Regulation of Health Foods in China and the United States: Comparison and Inspiration

被引:0
|
作者
Yan Z. [1 ]
Bian X. [2 ]
Sui X. [1 ]
机构
[1] College of Urban Economics and Public Administration, Capital University of Economics and Business, Beijing
[2] School of Management, Anhui University, Hefei
来源
Shipin Kexue/Food Science | 2023年 / 44卷 / 07期
关键词
dietary component; function claims; government regulation; health food; regulation reform;
D O I
10.7506/spkx1002-6630-20221024-235
中图分类号
学科分类号
摘要
Regulation of health foods in China and the United States show different institutional positions. For the regulatory object, the US highlights the dietary component orientation and defines a relatively clear legal content and type of health foods, while China pays attention to the expected function claims and has formulated a directory of health function with strict standards. For the regulatory scale, the US adopts loose and weak supervision, while China exercises strict and strong supervision. Accordingly, there is a value difference between the safety of consumption and the freedom of choice in these two countries. For the regulatory focus, the US emphasizes post-market surveillance, while China focuses on market access regulation, which reflects that the two countries have different regulatory risk perception, tolerance and governance strategies. China’s and the US’ reform strategies for the regulation of health foods are moving in the same direction. Building a market-oriented health food supervision system beyond “access-based supervision” has become an effective way to promote reform in the health food supervision system in China. © 2023 Chinese Chamber of Commerce. All rights reserved.
引用
收藏
页码:372 / 379
页数:7
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