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Roger Marshall

05/09/2024 | Press release | Distributed by Public on 05/09/2024 13:03

Senator Marshall Leads Letter On Omitting Rendering Waste Recycling From Draft Strategy

Washington, D.C. - U.S. Senator Roger Marshall, M.D. led a letter to the U.S. Environmental Protection Agency (EPA), the U.S. Department of Agriculture (USDA) and U.S. Food and Drug Administration (FDA) on the omission of 'rendering' from the Administration's Draft National Strategy for Reducing Food Loss and Waste and Recycling Organics ("Draft Strategy").

Rendering is the practice of recycling leftover animal scraps from protein conversion facilities, further processing plants, farms, grocery stores, meat lockers, butcher shops, and restaurants. Since the late 1800's, renderers have used materials that would otherwise be discarded to landfills, converting food waste into an array of products such as soap, candles, biofuels, and more.

The exclusion of rendering from the Draft Strategy is out of step with the Administration's mission of supporting a comprehensive approach to mitigating food waste, as well as past recycling efforts promoted by the federal government. As an industry that has been around for over a century, rendering is further proof that American agriculture has always led the way on practical sustainability. Inclusion of rendering in the draft strategy ensures that everyone along the livestock production supply chain is not left out of sustainability initiatives and incentives.

Including rendering in the draft strategy could expand opportunities for small and medium meat processing facilities to receive grants and loans through legislation.

Senator Marshall's legislation is cosponsored by Senators Moran (R-KS), Bennet (D-CO), Klobuchar (D-MN), Boozman (R-AR), Stabenow (D-MI), Padilla (D-CA), and Smith (D-MN).

You may click HERE or scroll below to read Senator Marshall's full letter.

Dear Administrator Regan, Secretary Vilsack, and Commissioner Califf:

We write to you regarding the omission of rendering from the Administration's Draft National Strategy for Reducing Food Loss and Waste and Recycling Organics ("Draft Strategy").

Last December, the Environmental Protection Agency (EPA), the U.S. Department of Agriculture (USDA) and the Food and Drug Administration (FDA) released a Draft Strategy that excluded the important role of rendering - a sector which has reduced our nation's food waste since the late 1800s.

Since the 1990s, rendering has been included in EPA's ranking of food waste management strategies, previously called the Food Recovery Hierarchy. However, rendering was the only technology specifically removed from the EPA's rankings with no scientific evidence driving the change. The U.S. rendering industry recycles 99% of unwanted and leftover animal materials considered inedible. Annually, renderers divert over 54 billion pounds of raw materials from landfills and transform them into ingredients for dozens of products including biofuels, pet food, and organic fertilizer. According to the North American Renderers Association's estimations, our nation's landfills would reach capacity in four years without a rendering sector that can help address these wastes.

As stated in the Strategy, "…EPA, USDA, and FDA seek to highlight opportunities to use raw materials more efficiently, enable those resources to be used for their highest value, and recover valuable resources from discarded materials." This is exactly rendering's role. However, we are concerned that this draft strategy, with rendering omitted, will not accelerate progress towards the 2015 national goal to reduce food loss and waste by 50% by 2030. Instead, the strategy will only serve to incentivize other recycling technologies at the expense of the rendering industry. Moving a supply stream from one organic recycler to another should not be counted as progress towards our goals. Instead, progress must be measured employing sound science and using all appropriate tools at our disposal. If the agencies believe there are research or data gaps on the role of rendering in food waste reduction, the national strategy presents the perfect opportunity to explore and fill these deficiencies for the sake of reaching our national goal by 2030.

For centuries, rendering has been at the forefront of a circular economy. We urge EPA, USDA, and FDA to ensure that rendering is included as part of our nation's food loss and waste reduction strategy. In addition, we request that EPA update its Wasted Food Scale to reflect the importance of rendering as a management strategy for wasted food.

Thank you for your attention to this important matter.

Sincerely,