Catherine’s letter to FDA
Become a member: Subscribe
- Money & Markets
- Weekly Solari Reports
- Cognitive Liberty
- Young Builders
- Ask Catherine
- News Trends & Stories
- Equity Overview
- War For Bankocracy
- Digital Money, Digital Control
- State Leader Briefings
- Food
- Food for the Soul
- Future Science
- Health
- Metanoia
- Solutions
- Spiritual Science
- Wellness
- Building Weatlh
- Via Europa
Solari’s Building Wealth materials are organized to inspire and support your personal strategic and financial planning.

Missing Money
Articles and video discussions of the $21 Trillion dollars missing from the U.S. government
No posts
Your cart is currently empty!
- LATEST
- TOP SECTIONS
- SERIES
- Money & Markets
- Weekly Solari Reports
- Ask Catherine
- News Trends & Stories
- Equity Overview
- Cognitive Liberty
- Building Wealth
- The War for Bankocracy
- Digital Money, Digital Control
- State Leader Briefings
- Food
- Food for the Soul
- Future Science
- Health
- Metanoia
- Solutions
- Spiritual Science
- Wellness
- Via Europa
- BLOGS
- RESOURCES
- COMMUNITY
- My Account
- Log In
- Subscribe
- Search
- Shop
- Support
- Donate
- Log Out
Catherine’s letter to FDA
Division of Dockets Management (HFA-305)
Food and Drug Administration
5630 Fishers Lane
Rm.1061
Rockville, MD 20852
RE: Docket No. FDA-2002-N-0323”
Ladies and Gentlemen:
I am a local foods consumer.
I support the list of direct-to-consumer venues in section 1.227(b)(11)(iii), as including door-to-door sales, mail, catalog and internet orders, nonprofit events, and fairs.
I urge the FDA to make the following changes to its proposed rule for facility registration:
1) Comply with the Tester-Hagan language of FSMA, and exempt all facilities that sell more than half of their products directly to consumers at roadside stands, farmers’ markets, and similar locations. The exemption should not be limited to facilities that are located on farms.
2) Similarly, the definition of roadside stands should not be limited to farmers, and the definition of farmers’ market should recognize that food vendors besides farmers may also sell at such markets. I agree that the majority of the vendors at a market should be farmers for it to be classified as a “farmers market,” but artisan food providers have an important role in these markets as well.
3) Clarify the process for getting a waiver from registering electronically. The regulation should specifically recognize religious objections and lack of reasonable access to the internet as reasons to grant a waiver, in addition to such other issues as may be raised by applicants.
4) Provide an exemption for those who do not have email addresses as a regular contact.
5) Eliminate the requirement for a D-U-N-S number or make it optional information to be submitted if the location already has a D-U-N-S number. It does not make sense to require a small business to register with Dun & Bradstreet for the sole reason of then also registering with the FDA.
Thank you for your attention to this matter,
Catherine Austin Fitts
PO Box 181
Hickory Valley, TN 38042
Our mission is to help you live a free and inspired life. This includes building wealth in ways that build real wealth in the wider economy. We believe that personal and family wealth is a critical ingredient of both individual freedom and community, health and well-being.
Nothing on The Solari Report should be taken as individual investment, legal, or medical advice. Anyone seeking investment, legal, medical, or other professional advice for his or her personal situation is advised to seek out a qualified advisor or advisors and provide as much information as possible to the advisor in order that such advisor can take into account all relevant circumstances, objectives, and risks before rendering an opinion as to the appropriate strategy.
Be the first to know about new articles, series and events.





































































































