Legal development

FDA Human Foods Program Details 2025 Guidance Agenda: Key Topics and Priorities

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    Key Takeaways:

    On June 30, 2025, the U.S. Food and Drug Administration (FDA) published its proposed Human Foods Program (HFP) guidance agenda for 2025. The agenda identifies new topics under consideration for future guidance and potential revisions to existing guidance documents. Of particular note, the agenda includes forthcoming draft guidance documents addressing action levels for cadmium and inorganic arsenic in food intended for babies and young children. 

    The complete list of potential new guidance topics includes:

    • New Dietary Ingredient (NDI) Notifications and Related Issues: Identity and Safety Information About the NDI: Guidance for Industry
    • Food Colors Derived from Natural Sources: Fruit Juice and Vegetable Juice as Color Additives in Food; Draft Guidance for Industry
    • Action Levels for Cadmium in Food Intended for Babies and Young Children; Draft Guidance for Industry       
    • Action Levels for Inorganic Arsenic in Food Intended for Babies and Young Children; Draft Guidance for Industry
    • Action Level for Opiate Alkaloids on Poppy Seeds: Draft Guidance for Industry
    • Hazard Analysis and Risk-Based Preventive Controls for Human Food; Chapter 12: Preventive Controls for Chemical Hazards
    • The Food Traceability Rule: Questions and Answers; Draft Guidance for Industry

    The HFP was established in 2023 as part of the FDA’s reorganization to streamline oversight and strengthen public health protections. The program consolidated the Office of Food Policy and Response with field operations from the Office of Regulatory Affairs. 

    As detailed in the notice, the HFP plans to develop a draft or final guidance on each of the listed topics by the end of December 2025. However, the HFP is not bound by this list of topics or required to issue all proposed guidance documents.

    FDA guidance documents reflect the agency’s current thinking on specific topics and are intended to provide information to help stakeholders anticipate and prepare for potential regulatory changes.

    If you have any questions about the proposed guidance topics or how they may affect your operations, please contact members of Perkins Coie’s food regulatory team.

    Summer Associate Annalise Hinkle contributed to this article.

    The information provided is not intended to be a comprehensive review of all developments in the law and practice, or to cover all aspects of those referred to.
    Readers should take legal advice before applying it to specific issues or transactions.

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    Originally published before the Ashurst Perkins Coie combination. See disclaimer.