The Vegetarian Resource Group Blog

Vegan Recipes for Labor Day!

Posted on August 23, 2012 by The VRG Blog Editor

Enjoy these recipes from Vegans Know How to Party at your Labor Day gathering with family and friends!

Fresh Peach Pie
Makes one 9-inch pie serving 8

One unbaked 9-inch pie crust
4 cups peeled, pitted, and sliced ripe fresh peaches
2 teaspoons unbleached flour
1/4 cup peach preserves
1 teaspoon fresh lemon juice
1/2 teaspoon ground cinnamon
1/4 teaspoon ground nutmeg

Preheat oven to 400 degrees. In the unbaked crust of your choice, arrange the peach slices, in overlapping circles. Sprinkle peaches lightly with flour. Combine peach preserves, lemon juice, cinnamon, and nutmeg in a saucepan and heat until just bubbling. Pour glaze over the peaches, then place in oven and bake for 10 minutes. Turn down heat to 375 degrees and continue baking for an additional 30-35 minutes, or until crust is golden. Serve at room temperature or cold.

Total Calories Per Serving: 200
Total Fat as % of Daily Value: 17%
Protein: 2 gm
Fat: 11 gm
Carbohydrates: 23 gm
Calcium: 7 mg
Iron: <1 mg Sodium: 164 mg Dietary Fiber: 2 gm Chilled Tomato Gazpacho
Serves 8

1 cup tomato paste
2 stemmed, seeded, and diced fresh chilies (you select the heat!)
1/3 cup balsamic vinegar
2 Tablespoons lime juice
1 Tablespoon sugar
1 Tablespoon minced garlic
1 Tablespoon ground cumin
1 teaspoon Tabasco sauce or other hot sauce
1 teaspoon freshly ground black pepper
7 cups tomato juice
3 cups seeded and diced fresh tomatoes
2 cups peeled, seeded, and diced cucumbers
2 cups peeled and diced fresh jicama (if jicama is not available, use 2 cups cooked,
peeled, diced potatoes)
11/2 cups stemmed, seeded, and diced green bell peppers
11/2 cups stemmed, seeded, and diced red bell peppers
11/2 cups chopped green onion
1 cup each diced zucchini and diced summer squash
1/4 cup freshly chopped parsley
1/4 cup freshly chopped cilantro

In a blender or food processor, place the tomato paste, chilies, vinegar, lime juice, garlic, cumin, Tabasco sauce, pepper, and 3 cups of the tomato juice and process for 2 minutes or until smooth. Transfer the mixture to a large glass or plastic (not metal) bowl. Add the rest of the tomato juice and stir well to combine. Add the remaining ingredients and stir well to combine. Cover and chill for at least 2 hours before serving in chilled bowls.

Note: Will last well in the refrigerator for up to 3 days.

Total Calories Per Serving: 134
Total Fat as % of Daily Value: 1%
Protein: 6 gm
Fat: 1 gm
Carbohydrates: 31 gm
Calcium: 76 mg
Iron: 3 mg
Sodium: 1,074 mg
Dietary Fiber: 7 gm

Vegan “Chicken” Chili
Serves 8

Vegetable oil spray
3 pounds of chunked Chik’nTM, Tofurky™, Wheatmeat™, or other vegan poultry-style meat that can be chunked
1 cup diced red bell pepper
1 cup diced green bell pepper
1 cup diced onion
1 deseeded and diced fresh chili (about 1 Tablespoon, you choose the heat!)
2 cups cooked or canned, drained kidney beans
2 cups canned, diced tomatoes (with liquid)
2 teaspoons cumin
1 Tablespoon chili powder
1 Tablespoon black pepper
1 Tablespoon hot sauce (or as desired)
2 Tablespoons shredded vegan cheese (optional)
2 Tablespoons vegan sour cream (optional)

Heat a large soup pot and spray with oil. Sauté vegan meat for 1 minute over high heat. Reduce heat to medium and add peppers, onion, and chilies. Continue to stir and sauté for 3 minutes or until onions are soft. Reduce heat to simmer. Add beans, tomatoes, cumin, chili powder, black pepper, and hot sauce. Cover and allow to simmer for 20 minutes or until flavors are blended. Place in a serving bowl. If desired, immediately before serving, garnish with vegan cheese and vegan sour cream.

Notes: For a buffet, purchase two or three round sourdough loaves. For a seated meal, purchase round, crusty rolls. Hollow out the center. Save the interior bread for fresh or dried bread crumbs. Serve chili in the sourdough “bowls” on the buffet or as individual servings.

Total Calories Per Serving: 409
Total Fat as % of Daily Value: 16%
Protein: 5 gm
Fat: 10 gm
Carbohydrates: 35 gm
Calcium: 96 mg
Iron: 6 mg
Sodium: 1,099 mg
Dietary Fiber: 14 gm

Microbial Rennets and Fermentation Produced Chymosin (FPC): How Vegetarian Are They?

Posted on August 21, 2012 by The VRG Blog Editor

By Jeanne Yacoubou, MS
VRG Research Director

Introduction

In 2007, The VRG learned from an employee at Danisco, a major enzyme manufacturer, that fermentation produced chymosin (FPC) responsible for curdling milk used in making cheese, originated from a calf gene. (Chymosin is the primary enzyme in rennet responsible for curdling.) He told us: “Ultimately, maybe twenty-five years ago, the gene used to make microbial chymosin is from calf rennet. It has been genetically modified so it is a GMO product [strictly speaking].” In 2007, The VRG was told by several cheese companies and enzyme makers that approximately 70% of all cheese in the United States was produced with FPC.

In this update, The VRG more closely examines FPC, which is often referred to on labels as “microbial rennet.” In the process, we will discuss the role of bioengineering, such as recombinant DNA technology, in enzyme production commercially practiced today. Labeling issues arise and a comparison with the European Union will be discussed.

History

As we wrote in a 2008 article on rennet, there are four major types of rennet: calf rennet, microbial rennet, FPC, and vegetable rennet. In 2012, best estimates from enzyme companies and dairy groups attribute 90% of all commercial cheese production in the United States to FPC.

Before we get too far ahead, it’s helpful to keep in mind the role of chymosin/rennet in cheese manufacture. Enzymes used to coagulate milk in cheese production (disregarding other enzymes known as lipases which may be added to some cheeses for flavor and which are usually derived from animals even today although this is changing), whether a single type (chymosin) or a mixture, are used in very small quantities (e.g., approximately one ounce per one hundred gallons of milk), and later largely removed from the final cheese product. Approximately 90-95% of the small quantity remains in the whey produced during cheese manufacture. This whey, considered a byproduct of cheese production, is often added to many other food products today, especially packaged foods.

When calf rennet became scarce and unreliably available in the 1960s and 70s as the veal industry was declining due to the animal rights movement but demand for cheese increased, calf rennet became very expensive. Companies looked for a “rennet substitute.” Recombinant DNA technologies involving microbes were becoming popular and companies turned to it in the 1980s.

Companies were encouraged to do so when the U.S. Supreme Court by a 5-4 vote in 1980 ruled that new life forms can be patented.
http://scholar.google.com/scholar_case?case=3095713882675765791&q=Diamond+v.+Chakrabarty%29&hl=en&as_sdt=2,21&as_vis=1
This landmark case overturned a Patents and Trademark Office denial of the patent for a genetically engineered microbe.

In 1990, in another precedent-setting decision by a U.S. government office, the Food and Drug Administration (FDA) approved the use of FPC in food. It was the first time a bioengineered product was permitted in food in the U.S. Insulin, manufactured in a similar fashion, was approved by FDA eight years earlier as a drug. Read about it here: http://www.fda.gov/AboutFDA/WhatWeDo/History/ProductRegulation/SelectionsFromFDLIUpdateSeriesonFDAHistory/ucm081964.htm.

Pfizer is credited with perfecting the technique in which genetic material (ribonucleic acid, or RNA) coding for chymosin is removed from an animal source and inserted via plasmids into microbial DNA (bacteria E. coli K-12) in a process known as gene splicing (a type of recombinant DNA technology). Through fermentation the microbes possessing the bovine genetic material produce bovine chymosin which is later isolated and purified in quantities much greater than those in calf rennet or in non-animal recombinant DNA microbial rennets. Since the original Federal Register article announcing bioengineered chymosin’s approval is no longer available online because it is so dated, (but may be purchased by calling or ordering offline), those interested may read about the FDA approval here:
http://www.nytimes.com/1990/03/25/us/gene-altered-item-approved-by-fda.html
http://articles.latimes.com/1990-03-24/news/mn-681_1_genetically-engineered-product-for-food

What is significant about the FDA approval is that bioengineered chymosin was granted Generally Regarded as Safe (GRAS) status. This meant that Pfizer was exempt from the preapproval requirements that apply to new food additives. Pfizer demonstrated what is often referred to as “substantial equivalence.” FDA concluded that bioengineered chymosin was substantially equivalent to calf rennet and needed neither special labeling nor indication of its source or method of production.

As J. H. Maryanski, Strategic Manager for Biotechnology, Center for Food Safety and Applied Nutrition, FDA, explained in an article titled “FDA’s Policy for Foods Developed by Biotechnology,” Pfizer showed “…the introduced chymosin gene encoded a protein that had the same structure and function as animal-derived chymosin; the manufacturing process removes most impurities; the production microorganisms are destroyed or removed during processing and are non-toxigenic and non-pathogenic; and any antibiotic-resistance marker genes (e.g., ampicillin) are destroyed in the manufacturing process.” In effect, the FDA extended calf rennet’s GRAS status to the bioengineered chymosin product. A few years later, FDA extended GRAS status to two other forms of bioengineered chymosin: that produced from Kluyveromyces marxianus var. lactis and Aspergillus niger var. awamori. In none of these approvals was FDA concerned with the process used to generate the chymosin.

View Pfizer’s patent application here: http://www.freepatentsonline.com/4935370.html Scrolling midway down the page, under the paragraph headed “Preparation of RNA and Cloning of cDNA,” readers may note the first line which reads in part: “Total RNA from animal pituitaries was obtained from a local slaughterhouse…”

The writer points out this sentence because in an email exchange in 2012, an industry group described this first production of chymosin from E. coli as “synthetic.” The Pfizer application description for bioengineered chymosin begins with a natural (i.e., animal organ) source.

This interpretation and use of “synthetic” in how the recombinant process began in chymosin production also occurs in other places. For example, a 1993 International Dairy Journal article titled “Enzymes in Cheese Technology,” by P.F. Fox and L. Stepaniak article states:

“There would appear to be no reason why the rennet substitute saga should not be closed – an unlimited supply of high-quality rennet is now available. However, there is opposition from certain quarters to the use of chymosins from genetically engineered microorganisms. Microbial chymosin should be acceptable for the manufacture of ‘vegetarian’ cheese. However, the gene cloned in K. Lactis was isolated from calf gastric tissue and is, apparently, not acceptable to some vegetarians. As the gene cloned in E. coli was synthesized, this chymosin should be acceptable to vegetarians.”

Today, Chr. Hansen, the makers of bioengineered FPC Chy-Max®, uses the fungus Aspergillus niger. An employee of the company told The VRG in 2012 that “a calf gene was used” initially.

According to product data sheets, DSM makes its bioengineered FPC, Maxiren®, using the yeast Kluyveromyces lactis. DSM did not reply to our inquiries about use of a calf gene. According to the International Dairy Journal article cited above, it appears that a calf gene was also used initially to produce Maxiren®.

FPC, often labeled as “microbial rennet” or “vegetable rennet,” and described in product literature as “vegetarian,” is believed by those in the cheese industry to yield high-quality and good-tasting cheese indistinguishable from that produced through the use of calf rennet.

FPC does not, according to many in the cheese industry, yield sometimes bitter-tasting cheese which non-animal “microbial rennet” may yield especially if the cheese is aged for too long of a time. For these microbial rennets, in which a fermentation process is involved like the case of FPC production, the chymosin-like enzymes called acid proteinases are native to the microbes (fungi Rhizomucor miehei, R. pusillus and Endothia parasitica). According to an article published in 1996 in the journal Antonie van Leeuwenhoek titled “Acceleration of Cheese Ripening” by P.F. Fox et. al.: “The gene for the acid proteinase of R. miehei has also been cloned and expressed in A. oryzae, and the product is commercially available (Marzyme®…).” (A. oryzae is a fungus.)

Marzyme® manufactured by Danisco-DuPont is a non-animal microbial rennet that is commercially available today. A senior level employee at Danisco/DuPont told The VRG that “In consultation with our business unit leader, I can report the following: Animal genes were not ever used in the production of Marzyme®. It is a protease of microbial origin. No bovine genes or enzymes were used to develop Marzyme® or to produce Marzyme®.” (Specific details on the process, specifically if any non-animal genetic recombination of any type was done, are not available. A product data sheet on Marzyme™ Supreme specifies R. Miehei only.) A cheese supply company told The VRG that Marzyme® is less expensive that FPC. For example, in 2011, a five-gallon container of Marzyme® sells for approximately $312 while the same quantity of a FPC costs approximately one hundred dollars more.

Other microbial rennets which do not appear to have been produced through recombinant animal gene technology include Hannilase® by Chr. Hansen. R. miehei is used to produce Hannilase®. DSM produces Fromase® from R. miehei which is listed both as non-GMO and vegetarian. DSM also produces Suparen/Surecurd® derived from the fungus Cryphonectria parasitica and described as vegetarian in product literature.

More on FPC Terminology

The writer observed while working on this update that companies manufacturing bioengineered FPC produced originally through animal gene splicing use the phrase “microbial rennet” to describe their product. They refer to them as “acceptable to vegetarians.” They also use “non-GMO” or “GMO-free” to describe their products.

Likewise, companies producing microbial rennet that had not involved animal gene splicing use the same terms to describe their products. Some vegetarians may wish to know more information about the source of the “microbial” or “non-GMO” rennet in the cheese they wish to consume.

As of June 2012, FDA has not established a legal definition for what is “GMO” or “non-GMO.” Nor are there any mandatory rules for labeling products manufactured by genetic techniques or containing genetically modified organisms (GMOs) or their products. In the United States, there are voluntary guideline documents intended to assist companies with manufacturing and labeling issues involving GMOs. See the most recent one here:
http://www.fda.gov/food/guidancecomplianceregulatoryinformation/guidancedocuments/foodlabelingnutrition/ucm059098.htm

In this document, FDA acknowledges concerns that people may have about bioengineered foods. However, except for a few cases listed in the document, (and bioengineered products such as FPC considered GRAS are notably not included), FDA does not see the need at this time to require labeling because, in most cases, the agency sees no threat to human health or public safety. Here is an excerpt:

“Most of the comments [to us] that addressed labeling requested mandatory disclosure of the fact that the food or its ingredients was bioengineered or was produced from bioengineered food. However, these comments did not provide data or other information regarding consequences to consumers from eating the foods or any other basis for FDA to find under section 201(n) of the act that such a disclosure was a material fact. Many of the comments expressed concern about possible long term consequences from consuming bioengineered foods, but they did not contend that any of the bioengineered foods already on the market have adverse health effects…The agency is still not aware of any data or other information that would form a basis for concluding that the fact that a food or its ingredients was produced using bioengineering is a material fact that must be disclosed under sections 403(a) and 201(n) of the act. FDA is therefore reaffirming its decision to not require special labeling of all bioengineered foods.”

By contrast, explicit definition and regulation about GMOs and products derived from them (such as FPC) have existed in the European Union (EU) since the 1990s. The regulations are very detailed and very extensive. GMOs that fall under the EU regulations include:

  • GMOs by themselves;
  • food and feed containing GMOs;
  • food and feed produced from or containing ingredients produced from GMOs.

The most recent EU document can be viewed here: http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=OJ:L:2003:268:0001:0023:EN:PDF

In our review of FPC produced by European companies who adhere to these guidelines and refer to their FPC products as “non-GMO,” it appears that FPC is exempt from labeling requirements. The process by which FPC is produced is included in the EU’s regulations as a GMO technique, so it may initially appear to some that FPC is a GMO product and subject to labeling.

(A partial list of those techniques in Annex IA is reprinted here and accessed http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=CONSLEG:2001L0018:20080321:EN:PDF:

“Recombinant nucleic acid techniques involving the formation of new combinations
of genetic material by the insertion of nucleic acid molecules produced by whatever means outside an organism, into any virus, bacterial plasmid or other vector system and their incorporation into a host organism in which they do not naturally occur but in which they are capable of continued propagation…”)

FPC, it appears, is not considered “GMO” and subject to labeling requirements because it appears in foods as “a trace” below the 0.9% threshold which requires labeling and may be “technically unavoidable” to remove as demonstrated by the manufacturers requesting exemption. Companies manufacturing FPC label it “non-GMO.” Article 4 Part C on exemptions to labeling appears in this document: http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=OJ:L:2003:268:0024:0028:EN:PDF

However, a European group known as GMO Compass refers to chymosin produced through gene technology as “GM” (genetically modified) and contrasts it with “microbial rennet substitutes which are derived from non-GM microorganisms.” http://www.gmo-compass.org/eng/database/enzymes/83.chymosin.html. GMO Compass states that chymosin produced through genetic technology is used to make European cheese (except in France and Austria). Presently, it does not have to be labeled at all.

The VRG wrote to the Association of Manufacturers and Formulators of Enzyme Products (AMFEP) based in Belgium in April 2012 about chymosin. Here is their response to our question: Is there a microbial rennet which has not been originally developed from a calf gene?

“‘Microbial rennet’ is the term commonly used for all milk coagulating enzymes from microorganisms, especially enzymes which are native to certain microorganisms, not a result of genetic modification. Protease from Rhizomucor miehei or Cryphonectria parasitica are examples and they are suitable, for example, for vegetarian cheese.

Chymosin, the classical animal-derived milk coagulant found in rennet, is also produced by means of microorganisms, e.g., genetically modified strains of Aspergillus niger. The chymosin gene inserted in the organism is in fact synthesized, not extracted from the animal…”

Wondering if AMFEP knew of a “synthetic” chymosin derived from non-living substances with no animal gene splicing ever involved, The VRG asked this group for further clarification in April 2012. As of this writing in June 2012, no response from AMFEP has been received. Given the organism cited by AMFEP to produce a “synthetic” chymosin, the writer wonders if the bioengineered Chy-Max® manufactured from A. niger is here described as “synthetic” by AMFEP. (The VRG was told by a Chr. Hansen employee that their FPC Chy-Max® was based on a calf gene initially.)

In recent telephone conversations and email exchanges with several enzyme companies, cheese companies, dairy groups, nonprofits, and FDA, the writer observed that there is no standard use of the terms “GMO product” or “non-GMO product.” An FDA employee wrote to us in July 2011: “It is not true that enzyme-modified cheeses…contain GMOs… Microbial rennet is chemically identical to that derived from calf stomach. The organisms modified to produce microbial rennet would be considered GMOs, but that’s where the GMO issue begins and ends.” The FDA employee declined to give further clarification on her statement when we asked.

Similarly, an employee of a major enzyme manufacturer, after he said that calf genetic material was removed and added to microbial genetic material, told The VRG in March of 2012 that “the resulting enzyme is non-GMO.”

The assertion that chymosin is non-GMO is not accurate according to some as we’ve seen (GMO Compass). The Non-GMO Project based in the United States, a nonprofit that certifies food products as non-GMO, maintains this position as well. The group told The VRG that chymosin is a “high-risk ingredient.” Listed in their Standards in Appendix A, Variance 4a, chymosin is “…one of the things we specifically wanted to make sure was NOT allowed through” [in a product that we declare to be non-GMO.] (emphasis added by the Non-GMO Project)
http://www.nongmoproject.org/product-verification/non-gmo-project-standard/

The Non-GMO Project told us that “If a cheese has our seal on it, the consumer can be assured that it does not have [bioengineered] chymosin.” The Introduction to their standards contains this group’s definitions of “GM” (1.3.3), “GMO” (1.3.4), and “non-GMO” (1.3.7) and are reprinted here:

GM: Genetically Modified or Genetic Modification—A term referring to products or processes employing gene splicing, gene modification, recombinant DNA technology, or transgenic technology, and referring to products of the gene-splicing process, either as inputs or as process elements.

GMO: A plant, animal, microorganism, or other organism whose genetic makeup has been modified using recombinant DNA methods, also called gene splicing, gene modification, or transgenic technology…

Non-GMO: A plant, animal, or other organism or derivative of such an organism whose genetic structure has not been altered by gene splicing. A process or product that does not employ GM processes or inputs…”

Current FPC Use and Labeling in the United States

The VRG looked again in May 2012 at FPC used in the United States and learned from cheese companies, enzyme makers, and dairy groups who agreed that today approximately “90%” of all cheese made in the United States is made with FPC. Product data sheets or product literature on two major FPC products, Chy-Max® (manufactured by Chr. Hansen) and Maxiren® (manufactured by DSM), state that FPC is “vegetarian” and “non-GMO.”

Chy-Max®
These are several different types of Chy-Max®: Chy-Max® Plus, Extra, Ultra, and Special. The first three in the list are 100% chymosin. Chy-Max® Special is 80% chymosin and 20% bovine pepsin (another type of enzyme). According to the product data sheet on Chy-Max® Extra, it is “acceptable for the production of vegetarian cheeses.”

The newest addition to the Chy-Max® line of product is Chy-Max M®, developed using a camel gene. It is considered a second generation FPC, described by the company as coagulating milk five times faster than first generation FPCs and 25 times faster than microbial rennets developed from R. Miehei. The company calls this FPC “suitable for vegetarians.” As reported in FoodNavigator, Chy-Max M® increases cheese yield per quantity of milk and produces a better-tasting cheese with a prolonged shelf-life. http://www.foodnavigator.com/Financial-Industry/Chr-Hansen-to-launch-next-generation-cheese-coagulant

An announcement in the Journal of Dairy Science, Vol. 92 stated that “…chymosin from Camelus dromedarius (CC) has been obtained through heterologous expression in Aspergillus niger and is now commercially available as Chy-Max M® from Chr. Hansen.” It has GRAS status in the US. Information on the precise method by which the camel gene was obtained is not available although a patent application states that “extracts of camel abomasum (camel rennet comprising chymosin and pepsin) have been used to coagulate cow’s milk.” (“Abomasum” refers to the fourth stomach of a ruminant.) http://www.patentstorm.us/applications/20110008492/description.html

Chr. Hansen sent us a non-GMO statement for its Chy-Max®. The company uses European Union regulations (see above) regarding genetic modification. According to Chr. Hansen, “Legislation in the European Union states that a final food product must be labeled if it is a GMO itself, if it contains GMOs, or if it contains ingredients derived from GMOs.”

The company concludes that “Chy-Max® Extra does not contain GMOs and does not contain GM labeled raw materials…The use of Chy-Max® Extra does not trigger a GM labeling of the final food product.” Chr. Hansen’s position on GMO can be found on:
www.chr-hansen.com/About us/Policies and positions/Quality and product safety.

Chy-Max cannot be used in USDA Organic Cheese. According to a company statement, Chr. Hansen states:

“The Organic Foods Production Act (OFPA) of 1990 required the USDA to develop the National Organic Program (NOP). The NOP sets national standards for organically produced products. The NOP assures consumers that agricultural products labeled as organic meet consistent standards. The NOP regulation 7CFR205.105 lists allowed
and prohibited methods, substances and ingredients for use in organic production and handling.

As such, the Chr-Hansen, Inc. product, Chy-Max®, does not meet these requirements and cannot be used as an ingredient in or on processed products to be labeled as ‘100% Organic,’ ‘Organic,’ or ‘Made with Organic (specified ingredients).’”

Maxiren®
DSM produces a FPC called Maxiren®. DSM has not responded to our inquiries as of this writing. A German company which carries DSM products told The VRG in writing that “DSM confirms that Maxiren®®is a non-GMO product.” Maxiren® 600 KPO is made from Kluyveromyces lactis. Maxiren® Premium is made from “Kluyveromyces lactis mixed with a carboxypeptidase derived from a selected strain of Aspergillus niger. DSM product brochures describe Maxiren® as “vegetarian friendly.”

What Does FPC Mean for Cheese-Eating Vegetarians?

To the best of our knowledge and according to our observations, ingredient labels do not distinguish between FPC “microbial rennet” and the “microbial rennet” composed of an enzyme/enzyme mix produced without any gene technology or with non-animal recombinant gene technology. Likewise, “vegetable rennet” and “vegetarian rennet” may also mean that either FPC or a “naturally” derived microbial enzyme/mix was used. Any type of “microbial rennet” could be called “natural,” too. (Recall that FDA has not, as of June 2012, legally defined use of the term “natural.”)

When we asked cheese companies and restaurants about their “microbial rennet” we were told in all cases that the source of the “microbial rennet” was non-animal. Given that 90% of all US cheese is made with FPC according to several industry sources, the writer must conclude that most companies and restaurants are not aware of the animal gene splicing involved in FPC manufacture and/or consider FPC “vegetarian acceptable” as FPC product data sheets from the manufacturers state it is. Some vegetarians may agree that FPC is vegetarian while others may not.

We’ve also learned from doing this update that it must not be assumed that “non-GMO” chymosin implies “vegetarian.” Vegetarians should note that, according to several industry sources, 90% of all US cheese is made with FPC, a product of animal gene splicing, and it as well as the cheese produced by it are considered “non-GMO” by the companies that manufacture it. Some vegetarians may agree that “non-GMO” FPC is vegetarian while others may not.

According to the writer’s knowledge, FPC is not permitted in USDA Organic Cheese. There was a petition to allow the “bio-engineered form” of chymosin to be added to the National List of Allowed and Prohibited Substances (in products certified under the USDA Organic Program by the National Organic Standards Board (NOSB)). The petition was denied because FPC was considered “bio-engineered” and thus unsuitable for inclusion in the USDA Organic Program which disallows the presence of such substances in USDA Organic products. As a panel member for the petition review said, “The NOSB has recommended that all organisms that have been genetically modified by [recombinant DNA] techniques be considered synthetic.” FPC was determined to be “synthetic.”

Furthermore, the panel members pointed out, “non-synthetic” cheese making enzymes (i.e., calf rennet, non-engineered microbial rennets) are available. (Rennet is an example of a non-agricultural substance that is allowed in organic food products when it is derived from calves or non-genetically altered microorganisms.) Technical Advisory Panel Reports concerning the petition to include FPC as an allowed substance in USDA Organic-certified foods can be accessed here: http://www.ams.usda.gov/AMSv1.0/getfile?dDocName=STELPRDC5066977&acct=nopgeninfo

Another USDA document pointed out that GMOs are not permitted at all in USDA Organic foods and beverages. The USDA Deputy Director gives some indication of what the USDA means by “GMO” in describing the “excluded methods” in USDA Organic production:

“A variety of methods used to genetically modify organisms or influence their growth and development by means that are not possible under natural conditions or processes and are not considered compatible with organic production. Such methods include…recombinant DNA technology (including gene deletion, gene doubling, introducing a foreign gene, and changing the positions of genes when achieved by recombinant DNA technology).”
http://www.ams.usda.gov/AMSv1.0/getfile?dDocName=STELPRDC5096493

The contents of this article, our website, and our other publications, including The Vegetarian Journal, are not intended to provide personal medical advice. Medical advice should be obtained from a qualified health professional. We often depend on product and ingredient information from company employees or company statements. Information does change and mistakes are always possible. Please use your own best judgment about whether a product is suitable for you. Further research or confirmation may be warranted.

Readers may be interested in a blog post on cheeses used by Pizza Hut:
http://www.vrg.org/journal/vj2011issue1/2011_issue1_chymax.php

For more information on food processing methods and food ingredients and to purchase our Guide to Food Ingredients, please visit our website at http://www.vrg.org/ingredients/index.php

For updates on ingredients and other information of interest to vegetarians and vegans, please subscribe to our e-newsletter at http://www.vrg.org/vrgnews/

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Report from Taking Action for Animals 2012

Posted on August 20, 2012 by The VRG Blog Editor

By Shelby Jackson, VRG Intern

Taking Action for Animals 2012 was held on the beautifully sunny weekend of July 27-30 at the Washington Marriot Wardman Park in downtown Washington, DC. With appearances by Congressman Sam Farr, and television news journalist Jane Velez-Mitchell, TAFA2012 offered a variety of experienced professionals and informative sessions.

The Taking Action for Animal conference attracted both vegetarian activists and omnivore animal activists, with sessions covering issues including shark finning, animal experimentation, advocating for Pit Bull dogs, horse welfare, and captive wildlife. A good portion of TAFA attendees were well versed in veganism and stopped by the VRG table to chat, or to tell us how much they appreciate the VRG. Others stopped by to grab a brochure to pass along to a relative who recently became vegetarian, or because they were interested in learning more. Many had specific questions related to veganism: how to properly cook black beans or how to get enough plant-based protein. There were a good number of vegetarians seeking more information about veganism and everyone seemed enthusiastic about the Vegetarian Journals being passed out.

Caryn Ginsberg was at the conference with her book Animal Impact, and I was fortunate to hang out and help her during her book signing. There were many individuals interested in Ginsberg’s application of market strategy to animal advocacy, which seemed to reflect the larger desire of TAFA attendees to attain practical techniques to leave the conference with, and to apply to their own advocacy efforts. TAFA2012 offered a professional atmosphere, one characterized by a collective energy manifesting in a contagion of newfound support and inspiration. The VRG’s table was an undeniable contributor of this collective energy. Our presence, combined with the many conversations we initiated, exposed advocates to the connection between dietary consumption and advocating for the well being of animals.

To support The Vegetarian Resource Group tabling and outreach efforts, please donate at: www.vrg.org/donate

Please Contact Subway

Posted on August 17, 2012 by The VRG Blog Editor

As we previously mentioned, eight Subway Restaurants in Maryland, Washington DC, and Virginia tested three vegan meat substitutes: the Sweet Riblet, the Malibu Greek, and the Italian Black Bean subs. These items quickly sold out. (Our staff’s favorite was the Sweet Riblet.)

Compassion Over Killing would like readers to contact Subway to encourage Subway to continue this test and add the items nationwide. Please write positive notes encouraging the addition of vegan items to:

http://WeLoveSubway.com

Subway, 325 Bic Drive, Milford, CT 06460

For more information about other restaurant options, see:
http://www.vrg.org/fastfoodinfo.htm
http://www.vrg.org/restaurant/index.php

Vote for VRG in the 2012 Veggie Awards!

Posted on August 16, 2012 by The VRG Blog Editor

VRG is up for a Veggie Award in the category of “Favorite Vegan Nonprofit Organization.” You can vote for us by visiting: http://www.surveymonkey.com/s/VegNewsVeggieAwards2012. Voting is open until August 31.

The Land of Kush in Maryland

Posted on August 15, 2012 by The VRG Blog Editor

By Shelby Jackson, VRG Intern

I am usually pretty quick to pick favorites when it comes to restaurant entrées, but not with The Land of Kush. As someone who grew up in the south eating barbecue meats and lots of macaroni and cheese, I’d have to say the Land of Kush really hit the spot with their savory, smoky Kush BBQ Ribs and Baked Mac & Cheese. Though the latter does not necessarily taste how I remember, it was buttery and creamy, and I will definitely be going back for seconds. The texture and flavor of the Sweet & Sour Seitan, with its tangy sauce and tender texture, reminded me of the brisket my mom used to make. Both the Ribs and the Seitan were extremely hearty and satisfying and the leftovers tasted great on a sandwich the next day.

The Chick-un Salad Wrap tastes exactly like real chicken, according to my omnivore boyfriend who has ordered it twice. His next favorite were the ribs, which were “good, but not real ribs.” Coming from a boy who grew up in Kansas City and is quick to point out the shortcomings of mock meats, this remark is more positive than it may initially seem.

The Land of Kush does not try too hard to imitate the non-vegan versions the dishes are inspired from. They are careful to extract the natural, wholesome flavor and unique texture of seitan and soy, but with a soul food spin. The Mac & Cheese, as well as many of their entrees, is incomparable with the real thing, which is fortunate, because what they have come up with tastes much better.

For more information about vegan dining options across the US, see the VRG’s national restaurant guide: http://www.vrg.org/restaurant/index.php

The Land of Kush is listed under Baltimore, Maryland.
http://www.vrg.org/restaurant/Maryland.php

VRG’s Annual Vegan Pre-Thanksgiving Potluck 11/18

Posted on August 14, 2012 by The VRG Blog Editor

Please join us for our 31st Annual Vegan Pre-Thanksgiving Potluck Dinner!

Sunday, November 18, 2012
5:00 P.M.
North Baltimore Mennonite Church
4615 Roland Avenue, Baltimore, MD 21210

Admission is $4 per adult and children under the age of 16 are admitted free. Please bring a vegan dish that serves four as a contribution from each member of your party. A vegan dish is made without meat, fish, fowl, dairy, eggs, honey, or other animal-derived ingredients. Write the ingredients of your dish on a 3 x 5 card to accommodate guests with special diets. Also, please bring a serving utensil for each dish. Paper plates, cups, napkins, and plastic utensils will be provided; however, we suggest participants please bring their own reusable dishes and utensils in order to reduce waste.

If you are unable to cook, you may bring a prepared vegan dish for four from a local natural foods store or restaurant. We also encourage you to bring a non-perishable vegetarian canned food item to donate to North Baltimore Mennonite Church, who will distribute it to those in need.

Need recipe ideas? Check out our Vegan Thanksgiving page.

To volunteer or for more information email [email protected] or call (410) 366-8343.

We look forward to seeing you there!

Linda Valley Villa – Vegetarian Independent Living Facility in California

Posted on August 10, 2012 by The VRG Blog Editor

By Christine Kasum Sexton, MPH

Linda Valley Villa is an independent living facility for seniors located in Loma Linda, California. The Villa was originally started by a Seventh-day Adventist seeking to provide a suitable vegetarian living facility for older members of the large local Seventh-day Adventist community. Since that time, Linda Valley Villa has been purchased by a different company, but the lacto-ovo vegetarian meals that they offer
have remained.

Currently, about 100 seniors live in the Villa. Eva Ortiz, the dietary supervisor, and her staff, prepare three meals each day for all of the residents. Eva has worked at the Villa for 23 years, and says that she has never really encountered any problems with providing vegetarian meals. It has not been difficult for her to find vendors for vegetarian foods. These days, according to Ortiz, larger vendors like Sysco are offering more and more vegetarian or vegan prepared foods and ingredients. While all residents must agree to follow a vegetarian diet, most are drawn to the facility specifically because it offers vegetarian foods. Currently, four residents follow vegan diets, which Eva and her staff cater to by substituting ingredients such as oats, other grains, or nuts for dairy items when necessary. Both vegetarian and vegan items can also be adapted for those needing special diets, including low-sodium and diabetic diets.

Some of the residents favorite dishes include Oriental Noodles, which are cold fried noodles mixed with stir-fried tofu and a variety of vegetables, “Chicken” with Dressing, which is fried mock chicken with a vegetarian gravy dressing, and enchiladas, made with either cheese or textured vegetable protein. Eva has come up with some of her own recipes that the residents particularly enjoy, including asparagus patties and mushroom patties. Other entrees that the Villa serves include vegetable casseroles, mock chicken patties or nuggets, pizza, “chicken” loaves, and herbed vegetable loaves. Also always available are vegetable side dishes, a salad bar, beans, sandwiches, and both fresh and canned fruits. The facility offers dairy, soy, and almond milks.

Eva keeps her menus fresh and her residents happy by meeting with them once a month to discuss which menu items they particularly like, and any suggestions they might have for changes or additions to the menu.

For more information about Linda Valley Villa, you can contact them at (909) 796-7501.

Linda Valley Villa
11075 Benton Street
Loma Linda, CA 92354

Report from GreenFest Chicago 2012

Posted on August 09, 2012 by The VRG Blog Editor

By Eric Sharer

GreenFest was held inside the iconic Navy Pier of Chicago, which is located jetting right outside of the heart of the city, providing an amazing view of the skyline and waterfront. The event itself was held in the large festival hall. This is a large space giving plenty of room for all the vendors, presenters, and visitors comfortably. Per the GreenFest webpage, the total weekend welcomed over 24,000 participants. This was very large venue, so it never seemed excessively busy or overwhelming and I would encourage anyone interested to visit the event in 2013! The crowd was quite a melting pot of all ages, demographics, beliefs, and cultures. It was a very fascinating mix of people. I would say the two most common age groups were people in their 20’s – 30’s and people in their late 40’s early 50’s.

A large majority of the crowd was familiar with the overall concept of vegetarianism/veganism, but many had questions about the reasons why one would pursue this or how to do so. Major topics of interest include the environmental impact of the livestock industry, vegan children, eating healthy on a budget, and gluten free nutrition. Many people were shocked to learn of the impact that eating animal protein, poultry, or dairy has on the environment and the earth’s supply of fresh water. People were surprised to learn that the largest user of fresh water is the livestock industry, since water is directly needed for drinking and cleaning of animals.

There were many conversations about all sorts of topics related to vegetarianism/ veganism. I had great talks with a few nurses, counselors, and teachers who wanted to spread the word on the benefits of vegetarianism/veganism to their students/clients/patients. Several school teachers who came to the booth were excited to share the Vegetarian Journal and coloring books with their students.

The Vegan Nutrition For Pregnancy and Childhood brochure was very popular for the many mothers or expecting mothers that I met who were interested in raising their children vegan, but were just looking for more information on how to do so correctly. Vegan Diets in a Nutshell really helped many people who were nervous making the transition to a vegan diet, much more achievable, since it clearly outlines all the important foods to eat while being vegan.

Outside of my participation during the event, volunteering for The VRG’s booth I was part of the opening ceremony, with The Earth Balance Plant Based Panel. This was a
panel of both local and national experts, specializing in various arenas such as nutrition, GMO, raw foods, media, etc. This was a very exciting panel which drummed up a very interesting and informative discussion related to vegetarianism. It was a special moment being able to represent myself as well as VRG at GreenFest Chicago! Video of this panel as well as the panel from other cities is available at the earthbalance website.

The VRG would like to extend our gratitude towards Eric Sharer, Chicago Volunteer Coordinator and his crew of volunteers who made our participation possible at GreenFest in Chicago on May 5th and 6th of 2012.

If you are interested in volunteering at a booth like this, please e-mail [email protected].

For a list of other ways to volunteer and get involved with the VRG, please visit http://www.vrg.org/getinvolved.php.

Donations from individuals like you help VRG continue to sponsor outreach booths like
the one mentioned above. To donate, please go to http://www.vrg.org/donate.

For more information about GreenFest, visit: www.greenfestivals.org/

Vegetarian/Vegan volunteers needed for outpatient research study of freeze-dried broccoli sprouts (Baltimore)

Posted on August 08, 2012 by The VRG Blog Editor

Healthy Vegetarian/Vegan Volunteers May Join an Outpatient Research Study of Freeze-dried Broccoli Sprouts.

This study involves drinking a liquid dose of freeze-dried broccoli sprouts and collecting urine. Please call 410-955-1578 for more information. Participants will be paid for participation. Study subjects will be required to come to Johns Hopkins University (Baltimore) at least twice during the study.

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