Food Standards (Proposal P1022 – Primary Production and Processing Requirements for Raw Milk Products) Variation

Administered by Department of Health, Disability and Ageing

Legislation au F2015L00198 Not in force Legislative Instrument

Legislation content

Explanatory Statement

1. Authority

 

Section 13 of the Food Standards Australia New Zealand Act 1991 (the FSANZ Act) provides that the functions of Food Standards Australia New Zealand (the Authority) include the development of standards and variations of standards for inclusion in the Australia New Zealand Food Standards Code (the Code).

 

Division 2 of Part 3 of the FSANZ Act specifies that the Authority may prepare a proposal for the development or variation of food regulatory measures, including standards. This Division also stipulates the procedure for considering a proposal for the development or variation of food regulatory measures.

 

The Authority prepared P1022 to amend the Code to include additional requirements for the safe production of raw milk cheese. The Authority considered the Proposal in accordance with Division 2 of Part 3 and has approved a draft variation.

 

Following consideration by the Australia and New Zealand Ministerial Forum on Food Regulation[1], section 92 of the FSANZ Act stipulates that the Authority must publish a notice about the standard or draft variation of a standard.

 

Section 94 of the FSANZ Act specifies that a standard, or a variation of a standard, in relation to which a notice is published under section 92 is a legislative instrument, but is not subject to parliamentary disallowance or sunsetting under the Legislative Instruments Act 2003.

 

2. Purpose

 

The Authority has approved draft amendments to Standards 4.2.4 and 1.6.1 to include requirements in the Code for raw milk cheese. Amendments to Standard 4.2.4 specify additional through-chain measures to support the safe production of raw milk cheese where processing ensures no net increase of pathogen levels and the intrinsic characteristics of the raw milk product will not support pathogen growth.

 

Standard 4.2.4A is proposed to be repealed as requirements for raw milk cheese are now covered by the draft variations to Standard 4.2.4 and assessment advice for imports referred to the Department of Agriculture.

 

Standard 1.6.1 is amended to replace existing limits for “all raw milk cheese” and “raw milk unripened cheese” with limits for Salmonella and Staphylococcal enterotoxin in “raw milk cheese”. Limits for “butter made from unpasteurised milk” are deleted as this food is not intended to be covered by the amendments to Standard 4.2.4 to apply to raw milk cheese. Limits for “raw milk unripened cheeses” are also deleted as this food would not meet the requirements for a raw milk cheese under Standard 4.2.4.

 

3. Documents incorporated by reference

 

The variations to food regulatory measures do not incorporate any documents by reference.

 


4. Consultation

 

In accordance with the procedure in Division 2 of Part 3 of the FSANZ Act, the Authority’s consideration of Proposal P1022 included two rounds of public comment following an assessment and the preparation of a draft Standard and associated reports. The 1st Call for Submissions report was released for public comment from 8 November 2013 to

10 January 2014. Submissions on the draft amendments to Standards 4.2.4 and 1.6.1 were called for on 10 July 2014 for a six-week consultation period.

 

A standards development committee (SDC) was established with representatives from the industry sector, the relevant State and Territory government agencies and consumer organisations to provide ongoing advice to the Authority throughout the standard development process. The SDC contributed a broad spectrum of knowledge and expertise covering industry, government, research and consumers

 

A Regulation Impact Statement was not required because the proposed variations to Standard 4.2.4 are likely to have only a minor impact on business and individuals.

 

5. Statement of compatibility with human rights

 

This instrument is exempt from the requirements for a statement of compatibility with human rights as it is a non-disallowable instrument under section 94 of the FSANZ Act.

 

6. Variation

 

6.1 Item [1]

 

Item 1.1 omits existing limits for “butter made from unpasteurised milk and/or unpasteurised dairy products”.

 

Item 1.2 omits existing limits for “all raw milk cheese (cheese made from milk not pasteurised or thermised” and “raw milk unripened cheeses (moisture content >50% with pH > 5.0)” and inserts limits for Salmonella and Staphylococcal enterotoxins for “raw milk cheese”.

 

6.2 Item [2]

 

Item 2 amends Standard 4.2.4.

 

Item 2.1 includes definitions in subclause 1(2) for “diseased animal”, “documented alternative”, “infection”, “milk for raw milk cheese”, “raw milk”, “raw milk herd” and “raw milk cheese”. These definitions are required to apply the additional requirements under Division 5.

 

Item 2.2 changes the heading of Division 2 to “Division 2 – General dairy primary production requirements”.

 

Item 2.3 changes the heading of Division 3 to “Division 3 – General dairy collection and transportation”.

 

Item 2.4 changes the heading of Division 4 to “Division 4 – General dairy processing”. The addition to the heading of the word “general” under items 1.2, 1.3 and 1.4 is to distinguish between primary production, transport and processing requirements raw milk cheese under Division 5 from those for pasteurised or otherwise heat treated cheese.

 

Item 2.5 includes an additional subclause under clause 12 to state that clauses 15 and 16 of the Standard do not apply to milk for raw milk cheese. This reflects that that milk must comply with the requirements of Division 5.

 

Item 2.6 replaces the reference in subparagraph 16(3)(b) to Standard 4.2.4A with a reference to Division 5. This reflects the repeal of Standard 4.2.4A under item [2].  

 

Item 2.7 inserts an additional division in the Standard, Division 5, for raw milk cheese.

 

Division 5 – Additional requirements for raw milk cheese includes four subdivisions:

 

Subdivision 1 – General

Subdivision 2 – Primary production of milk for raw milk cheese

Subdivision 3 – Transport of milk for raw milk cheese

Subdivision 4 – Processing of milk for raw milk cheese 

 

Subdivision 1 comprises clause 17. Clause 17 applies the requirements of Divisions 1 to 4 to the production, transport and processing of raw milk cheese. This provides the baseline set of requirements to which the measures under Division 5 are additional.

 

Subdivision 2 comprises clauses 18 to 26.
 

Clause 18 specifies that a dairy primary production business that produces milk for raw milk cheese that must comply with each requirement of Subdivision 2.
 

Clause 19 requires that the documented food safety program required by clause 3 of the Standard must include control measures that ensure each requirement imposed by Subdivision 2 is met.
 

Clause 20 provides additional requirements relating to diseased animals. Subclause 20(1) requires that milk for raw milk cheese not be sourced from a diseased animal. Subclauses 20(2) and 20(3) require that diseased animals be immediately removed and kept separated from other animals from which milk for raw milk cheese is sourced.
 

Clause 21 requires that animals from which milk for raw milk cheese is sourced be subject to an identification system that ensures individual animals are uniquely identifiable and traceable.
 

Clause 22 provides additional requirements in relation to feed and water use.
 

Clause 23 requires the primary production of milk for raw milk cheese to comply with the requirements of Division 4 of Standard 3.2.2 in relation to health and hygiene requirements.
 

Clause 24 provides a teat washing and drying requirement in relation to animals to be milked.
 

Clause 25 provides prescriptive cooling and storage requirements for milk for raw milk cheese. Subclause 25(1) provides a requirement to cool milk to a prescribed temperature within a prescribed timeframe. Subclause 25(2) provides that this requirement does not apply if a documented alternative is used. Subclause 25(3) provides a temperature requirement for milk storage. Subclause 25(4) provides a requirement to ensure raw milk cheese is kept separate from milk for other dairy products. 
 

Clause 26 provides a requirement that only milk produced in accordance with Division 5 can be supplied for processing of raw milk cheese.

 

Subdivision 3 comprises clauses 27 to 30.

Clause 27 specifies that dairy transport businesses that transport milk for raw milk cheese must comply with the requirements of Subdivision 3.

 

Clause 28 requires that the documented food safety program required by clause 7 of the Standard must include control measures that ensure each requirement imposed by Subdivision 3 is met.

 

Clause 29 provides additional temperature control requirements for the transport of milk for raw milk cheese. Subclause 29(1) specifies temperature time requirements. Subclause 29(2) provides that this requirement does not apply if a documented alternative is used.
 

Clause 30 requires that milk for raw milk cheese must be kept separate from other milk during transport.

 

Subdivision 4 comprises clauses 31 to 35.

 

Clause 31 specifies that dairy processing businesses that process milk for raw milk cheese must comply with the requirements of Subdivision 4.

 

Clause 32 requires that the documented food safety program required by clause 13 of the Standard must include control measures that ensure each requirement imposed by Subdivision 4 is met. Clause 32 also requires that the documented food safety program address each of the processing factors specified in paragraph 32(b).

 

Clause 33 provides additional requirements in relation to the temperature and time limits for processing of milk for raw milk cheese. Subclause 33(1) requires that milk for raw milk cheese be kept below a prescribed maximum temperature from its collection by the processor and the commencement of its processing. Subclause 33(2) provides that this requirement does not apply if a documented alternative is used. Subclause 33(3) requires that the processing of milk for raw milk cheese commence within 24 hours of that milk being milked. Subclause 33(4) provides that this requirement does not apply if a documented alternative is used.  Subclause 33(5) requires that milk for raw milk cheese be kept separate from milk for other dairy products.  

 

Clause 34 provides additional requirements in relation to microbiological monitoring and processing outcomes. Subclause 34(1) requires the dairy processing business to monitor the suitability of milk for raw milk cheese prior to the commencement of its processing. Subclauses 34(2) and 34(3) requires that the raw milk cheese produced meet prescribed outcomes in relation to pathogenic microorganisms. 
 

Clause 35 requires that only milk produced in accordance with Division 5 can be used for processing of raw milk cheese.

 

Item 2.8 updates the Table of Provisions.

 

6.3 Item [3]

 

Item 3 repeals Standard 4.2.4A.

 

[1] convening as the Australia and New Zealand Food Regulation Ministerial Council

Overview

The Food Standards Australia New Zealand Amendment (2015 No.1) Instrument, enacted in 2015, was introduced to address the need for additional safety measures in the production of raw milk cheese. This legislation amends the Australia New Zealand Food Standards Code to include more stringent requirements for the safe production of raw milk cheese, thereby protecting public health. The Authority, Food Standards Australia New Zealand, prepared Proposal P1022 to amend the Code, which was subsequently approved after two rounds of public consultation and consideration by the Australia and New Zealand Ministerial Forum on Food Regulation. The enacting body is the Parliament of Australia, with the policy objective of ensuring food safety through the implementation of stricter standards for raw milk cheese production. The proposed amendments focus on adding requirements for the safe production of raw milk cheese, particularly where processing ensures no net increase of pathogen levels and the product's intrinsic characteristics will not support pathogen growth. These amendments also involve the repeal of Standard 4.2.4A, which is no longer necessary as its requirements are now incorporated into the variations to Standard 4.2.4. The instrument does not incorporate any documents by reference and is exempt from the requirement for a statement of compatibility with human rights, as it is a non-disallowable instrument under section 94 of the Food Standards Australia New Zealand Act 1991.

Scope and Application

The Food Standards Australia New Zealand Act 1991 (FSANZ Act) empowers Food Standards Australia New Zealand (the Authority) to develop and vary standards for the Australia New Zealand Food Standards Code. Following a proposal process and consultation, the Authority has approved draft amendments to Standards 4.2.4 and 1.6.1, introducing new requirements for the safe production of raw milk cheese. These amendments apply to entities involved in the production, transport, and processing of raw milk cheese within the Commonwealth of Australia and New Zealand, including dairy farmers, transporters, and processors. The legislative instrument, though not subject to parliamentary disallowance or sunsetting, is exempt from human rights compatibility statements as it is a non-disallowable instrument. The variations include additional through-chain measures to support the safe production of raw milk cheese, updates to definitions, and new divisions in the Standard to specify additional requirements for raw milk cheese. These changes are designed to ensure that raw milk cheese production complies with stringent safety standards, thereby protecting public health.

Key Provisions

The primary sections of this legislation focus on the development and variation of food regulatory measures by the Food Standards Australia New Zealand (FSANZ) Authority, specifically concerning the safe production of raw milk cheese. Sections 13 and 92 of the Food Standards Australia New Zealand Act 1991 (FSANZ Act) provide the basis for FSANZ to develop and propose standards for inclusion in the Australia New Zealand Food Standards Code (the Code), including the publication of notices about these standards or variations. The draft variation, which has been approved by the Authority, is intended to amend Standards 4.2.4 and 1.6.1 to include additional requirements for raw milk cheese production, ensuring that the intrinsic characteristics of the raw milk product will not support pathogen growth and that processing ensures no net increase of pathogen levels. The legislation imposes specific obligations on parties involved in the production, transport, and processing of raw milk cheese. The amendments to Standard 4.2.4 introduce additional requirements under Division 5, which includes four subdivisions: general, primary production, transport, and processing of milk for raw milk cheese. Dairy primary production businesses must ensure that milk for raw milk cheese is not sourced from diseased animals and that animals are uniquely identifiable and traceable. Transport businesses must adhere to specified temperature control requirements and keep raw milk cheese separate from other milk. Processing businesses must monitor the suitability of milk and ensure that processing occurs within 24 hours of milking, among other requirements. All these businesses must include relevant control measures in their documented food safety programs. Failure to comply with the requirements set out in the new standards can result in significant consequences. Although specific penalties are not detailed in the explanatory statement, non-compliance with food safety standards in Australia generally can lead to enforcement actions by state and territory authorities. These actions can include fines, legal action, and public warnings. The severity of the penalties can vary depending on the nature and extent of the non-compliance, and in severe cases, persistent non-compliance may lead to business closures or other regulatory sanctions. The legislation, being a legislative instrument under section 94 of the FSANZ Act, is not subject to parliamentary disallowance or sunsetting under the Legislative Instruments Act 2003, reinforcing the binding nature of compliance with these standards.

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