QR Scientifique Et Technique - EN - 271020
QR Scientifique Et Technique - EN - 271020
QR Scientifique Et Technique - EN - 271020
Contents
I. CALCULATING THE SCORE................................................................................................................................. 3
1
IV. LEGAL ISSUES PERTAINING TO THE NUTRI-SCORE PLAN ................................................................................. 11
WHO MAY DISPLAY THE NUTRI-SCORE LOGO ON THEIR BRANDS AND PRODUCTS?........................................................................ 11
HOW CAN THE DOCUMENTS REQUIRED TO USE THE NUTRI-SCORE BE OBTAINED?........................................................................ 11
HOW ARE THE NUTRI-SCORE SCORES CALCULATED? .............................................................................................................. 11
IS IT POSSIBLE TO CONDUCT A TEST PHASE BEFORE COMMITTING? ............................................................................................ 12
MUST OPERATORS PUT THE NUTRI-SCORE ON ALL THEIR BRANDS AND ON ALL THE PRODUCTS FOR THE SAME BRAND? ....................... 12
WHAT IS THE SCOPE OF ENGAGEMENT FOR A BRAND THAT WISHES TO USE THE NUTRI-SCORE LABEL? ............................................. 12
MUST THE NUTRI-SCORE ALSO BE PUT ON PRODUCTS MADE FOR THE FOODSERVICE INDUSTRY?..................................................... 12
WHAT ARE THE SPECIFICS FOR APPLYING THE NUTRI-SCORE OVERSEAS? .................................................................................... 13
DOES THE NUTRI-SCORE APPLY OUTSIDE OF FRANCE? ........................................................................................................... 13
CAN A REPRESENTATIVE COMPLETE THE NUTRI-SCORE REGISTRATION PROCESS? ......................................................................... 13
WHY ARE THERE PENALTIES IN THE NUTRI-SCORE USAGE REGULATION? .................................................................................... 14
HOW CAN A COMPANY STOP USING THE NUTRI-SCORE? ........................................................................................................ 14
HOW CAN SOMEONE OBTAIN THE ENGLISH TRANSLATION OF THE NUTRI-SCORE USAGE REGULATION? ............................................ 14
IS IT POSSIBLE TO MODIFY THE NUTRI-SCORE USAGE REGULATION? .......................................................................................... 14
IS IT POSSIBLE TO MODIFY THE NUTRI-SCORE GRAPHIC CHARTER? ............................................................................................ 14
IS THERE A GRAPHIC CHARTER THAT LAYS OUT THE RULES FOR USING THE LOGO ON E-COMMERCE SITES? ......................................... 14
CAN THE LOGO BE USED FOR PROMOTIONAL PURPOSES? ........................................................................................................ 15
WHAT ARE THE RULES FOR USING THE NUTRI-SCORE FOR PROMOTIONAL PURPOSES? .................................................................. 15
HOW CAN THE NUTRI-SCORE LOGOS BE OBTAINED FOR EDUCATIONAL, SCIENTIFIC OR JOURNALISTIC PRESENTATIONS? ....................... 16
CAN THE NUTRI-SCORE MARK BE REPRODUCED WITHOUT PERMISSION FROM SANTÉ PUBLIQUE FRANCE? ........................................ 16
Appendix 1: Guidance on quantifying the fruit, vegetable, pulse, nut, and rapeseed, walnut and olive oils
content of a processed product ............................................................................................................................. 17
Appendix 2: Methods for calculating the nutritional score ................................................................................... 24
2
Scientific and Technical FAQ
The latest modifications are shown in the document in blue.
WHAT REFERENCE IS USED TO CALCULATE THE CONTENT OF "FRUIT, VEGETABLES, PULSES, NUTS, AND
RAPESEED, WALNUT AND OLIVE OILS" IN PROCESSED PRODUCTS?
A guidance document on quantifying the fruit, vegetable, pulse, nuts, and rapeseed, walnut and olive oils
content of a processed product is attached in Appendix 1.
It is based on the following reference document: 'Application of the Nutrient profiling model: Definition of
‘fruit, vegetables and nuts’ and guidance on quantifying the fruit, vegetable and nut content of a processed
product - Peter Scarborough, Mike Rayner, Anna Boxer and Lynn Stockley - British Heart Foundation - Health
Promotion Research Group, Department of Public Health, University of Oxford - December 2005”.
DO CONCENTRATED JUICES COUNT WHEN WORKING OUT “FRUIT, VEGETABLE, PULSES, NUTS, AND
RAPESEED, WALNUT AND OLIVE OILS” CONTENT?
With regards to concentrated fruits and vegetables:
Can be counted: fruit juices made from 100% concentrates
E.g. orange juice made from 100% concentrate that is rehydrated to 100% (or coconut juice when
rehydration results in 100% juice)
Cannot be counted: concentrated fruit juices or fruit puree that have not been rehydrated to 100%
E.g. juice/concentrated lemon syrup used in a sorbet cannot be counted as fruit
The classification of fruit juices and their related products regarding the calculation of the Fruit, vegetable,
pulses, nuts, and rapeseed, walnut and olive oils component is described in Appendix 1.
1
GUIDANCE DOCUMENT FOR COMPETENT AUTHORITIES FOR THE CONTROL OF COMPLIANCE WITH EU LEGISLATION
WITH REGARD TO METHODS OF ANALYSIS FOR DETERMINATION OF THE FIBRE CONTENT DECLARED ON A LABEL
3
WHAT COUNTS AS A SIMPLE SUGAR?
Simple sugars include mono and disaccharides.
2
GUIDANCE DOCUMENT FOR COMPETENT AUTHORITIES FOR THE CONTROL OF COMPLIANCE WITH EU LEGISLATION
WITH REGARD TO THE SETTING OF TOLERANCES FOR NUTRIENT VALUES DECLARED ON A LABEL
4
If two nutritional statements are provided, two Nutri-Scores may be displayed on the front – there is a
graphic charter available for displaying 2 Nutri-Scores on the front of the packaging.
DOES THE PRODUCT'S NUTRI-SCORE NEED TO BE CALCULATED BASED ON AS IT'S SOLD OR ONCE IT'S
PREPARED?
The INCO regulation stipulates that the nutritional declaration may be based on the nutritional values of
the product as sold, when appropriate, as prepared. In any case, the Nutri-Score’s calculation has always to
be based on the energy and the nutrients indicated on the corresponding nutritional declaration. In
addition, the calculation of the Nutri-Score on the prepared product can only be considered if there are
sufficient details on the preparation method.
An example of product that is covered by this modality of calculation is dehydrated powdered soups.
For these products, we recommend to calculate the Nutri-Score for the product as prepared, to allow
consumers to be able to compare the Nutri-Score on the same basis. To be eligible for this calculation
method, the packaging must affix the nutritional declaration for 100 g or 100mL of prepared product and
the food’s preparation method has to be described in detail.
In this case, the operator is asked to add an indication on the packaging to inform the consumer that the
Nutri-Score has been calculated on the product as prepared (principle of transparency). This information
may be added either on the front-of-pack next to the logo (the white space around the logo may be used
in this regard) or on the back of the packaging next to the nutritional declaration.
Clarification: for reconstitutions with milk, if the type of milk is not indicated, then semi-skimmed milk will
be considered the default.
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IS THE NUTRI-SCORE CALCULATED FOR THE PRODUCT WITH THE COVERING LIQUID?
The nutritional score is calculated using the nutritional data listed on the package for 100 g of the product,
whose nutrients form part of the mandatory nutritional declaration or are included as supplemental
information, in accordance with Article 30 of the INCO regulation no. 1169/2011.
If the covering liquid is taken into account in the mandatory nutritional declaration, the Nutri-Score should
also be calculated for the product + the covering liquid and vice versa. To calculate the percent of “fruits,
vegetables, pulses, nuts and oils », you have to use the same basis as the table of nutritional values. If the
covering liquid is taken into account, the calculation should include it. If the nutritional values do not take
the covering liquid into account, then it should be recalculated without the covering liquid.
WITH LIQUID FOODS, IS THE SCORE CALCULATED FOR 100 G OR 100 ML?
With liquid foods such as soups, oils or milk, the value used is the one given as a unit on the nutrition label,
and not a unit that is not written on the packaging (to ensure transparency for the consumer). If two values
are mentioned (per 100 g and per 100 ml), the one per 100 g is to be taken into account.
WHY THE “FRUITS, VEGETABLES, PULSES, AND NUTS” COMPONENT HAS BEEN MODIFIED AND WHAT IS
THE TIME FRAME FOR ACHIEVING COMPLIANCE WITH THE NEW PROVISIONS?
The “fruits, vegetables, pulses, and nuts” component has been modified in October 2019 to better take into
account the nutritional recommendations for oils in Europe.
The percent of rapeseed, walnut and olive oils in the products is now included in the positive component
“fruits, vegetables, pulses, and nuts” for the score calculation. Following this modification, the rapeseed,
walnut and olive oils are all ranked as “C-yellow” in order to reflect the public health recommendations that
advocate to favour these oils compared to other fats.
The usage regulation states that “The Industry actor has a reasonable time frame determined, if required,
by Santé publique France for achieving compliance with the new provisions in the Usage regulation. “ To
date, this time frame has not been defined yet, in order to allow the committed companies to make the
necessary changes. Thus, during this period, it is possible that an oil (for example olive oil) have different
scores “C-yellow” or “D-orange” for a same product, the time that the new labels “C-yellow” are put in
place.
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Besides, cream used in a recipe (or butter, sunflower oil, etc.) will be included in the overall score for the
recipe, using the information from the nutritional declaration for 100 g of the food. Recipes are considered
in their entirety as a mixture of ingredients, including any fats. The score applies to the final mixture. As is
the case for fats, cheeses (which, like fats, are also excepted when calculating the score) are not considered
separately when included in a recipe.
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a clear distinction between milk products (especially compared to beverages such as café au lait) while also
continuing to allow a certain degree of innovation within this product sector.
The use of the Nutri-Score on meal replacement products, which do not have a goal of weight control, is
also not recommended.
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3. Waters intended for human consumption, including those where the only added ingredients are
carbon dioxide and/or flavourings
4. Herbs, spices or mixtures thereof
5. Salt and salt substitutes
6. Table top sweeteners
7. Products covered by Directive 1999/4/EC of the European Parliament and of the Council of 22
February 1999 relating to coffee extracts and chicory extracts, whole or milled coffee beans, and
whole or milled decaffeinated coffee beans
8. Herbal and fruit infusions, tea, decaffeinated tea, instant or soluble tea or tea extract, decaffeinated
instant or soluble tea or tea extract, which do not contain other added ingredients than flavourings
which do not modify the nutritional value of the tea
9. Fermented vinegars and substitutes for vinegar, including those where the only added ingredients
are flavourings
10. Flavourings
11. Food additives
12. Processing aids
13. Food enzymes
14. Gelatine
15. Jam setting compounds
16. Yeasts
17. Chewing gums
18. Food in packaging or containers the largest surface of which has an area of less than 25 cm²
19. Food, including handcrafted food, directly supplied by the manufacturer of small quantities of
products to the final consumer or to local retail establishments directly supplying the final consumer
To this point, it should be noted that the exemption criteria are considered cumulatively, meaning that the
concept of 'small quantities' must be considered alongside all the other criteria.
• With regard to 'local retail establishments directly supplying the final consumer'
'Retail shops' include large and medium-sized shops and supermarkets as well as convenience stores that
sell food.
• With regard to the concept of 'local'
A radius of around 100 km at the departmental and regional level seems acceptable. This distance could be
extended for producers located in less densely populated areas that develop distribution channels with
consumers and retailers (gourmet shops, cheese shops, etc.) in the closest urban centres (such as the Paris
metropolitan area for the Burgundy and Centre regions). This analysis applies to cross-border trade when
compliant with the recommendations of the member state in question.
• With regard to the 'directly supplying the final consumer' criterion
A producer directly supplying the final consumer includes producer sales through farms, markets, short
supply chains, CSAs, and production shops such as those run by artisans (butchers, delicatessens,
fishmongers, bakeries, etc.), and also internet sales, as long as these sales do not constitute the sole source
of revenue for the producer.
Products displayed during trade fairs in order to promote regional products may also be included.
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In the vast majority of cases, when the above criteria are fulfilled the producer to whom this measure applies
de facto satisfies the criterion of 'small quantities' as understood by the law.
In addition to the criteria listed above, the amount of foodstuffs produced by operators that meet the
national definition of a microenterprise as described in Article 3 of Decree no. 2008-1354 from 18 December
2008 relating to the criteria that determine whether a company belongs to the category for statistical and
economic analysis purposes can be considered as falling under the definition of 'small quantities'; these
companies employ fewer than ten people and have a total annual sales revenue or total assets of no more
than 2 million euros.
Dietary supplements are also excluded from the application of the Nutri-Score given that they are not
covered by the mandatory nutritional declaration (Article 29 of the INCO Regulation).
CAN THE NUTRI-SCORE BE DISPLAYED ON PRODUCTS THAT ARE NOT SUBJECT TO MANDATORY
NUTRITIONAL DECLARATION?
In case of food products that are not subject to mandatory nutritional declaration, (i.e. Appendix V of
INCO regulation no. 1169/2011), if the nutritional declaration is presented, the manufacturers can choose
whether they want or not to display the Nutri-Score on their products. However, the choice should be
applied to all products of a same food category (and not for each product separately).
Notably, with products that are packaged on-site in stores, the Nutri-Score may be added if there is a
nutritional declaration on the product.
IF THERE IS A BUSINESS RELATIONSHIP BETWEEN A CLIENT COMPANY AND ITS SUPPLIER, CAN THE
NUTRI-SCORE OF A RECIPE'S "INGREDIENTS" BE USED WITHOUT SIGNING UP TO NUTRI-SCORE?
Where there is a business relationship between two companies, the technical datasheet of the "ingredient",
intended for the manufacturer and not the final consumer, may include the Nutri-Score label without the
manufacturer having to apply it for the involved brand and therefore it is not required to register with
authorities in this case.
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FOR ASSORTMENTS, MUST MULTIPLE NUTRI-SCORES BE DISPLAYED?
For assortments:
- When the nutritional values are different, one Nutri-Score for each nutritional declaration must be
displayed; Santé publique France offers a graphic charter that makes it possible to display several Nutri-
Scores on the front.
- In the event that the nutritional tables produce the same Nutri-Score result, a single Nutri-Score can be
displayed on the front (in the case of a compote with different flavours or products with one average
nutritional statement)
- If this is an assortment where each person is expected to consume the entire product, an average Nutri-
Score can be calculated (such as a 'dessert sampler' assortment comprising a crème brulée, a macaroon
and a chocolate cake for each person, which are consumed as a single product). If components of an
assortment belongs to groups with different calculation rules (for example a solid food with a beverage),
this modality of calculation cannot be used.
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IS IT POSSIBLE TO CONDUCT A TEST PHASE BEFORE COMMITTING?
To obtain the required documents for using the logo, you must register on the following site (French
only): https://www.demarches-simplifiees.fr/commencer/enregistrement_nutri-score .
Businesses have 24 months to put the logo on all the categories of food products that they market under
their own brands. They could thus decide to put it only on products sold online at first. But the ultimate
goal – that aligns with the use of the collective mark – is to display the Nutri-Score logo on the packages of
every product a brand sells, for every format, mode or point of sale.
MUST OPERATORS PUT THE NUTRI-SCORE ON ALL THEIR BRANDS AND ON ALL THE PRODUCTS FOR THE
SAME BRAND?
Decree no. 2016-980 from 19 July 2016 on additional nutritional information for food products stipulates
that 'the commitment made by the producers and distributors as part of the voluntary initiative to use the
complementary form of presentation applies to all categories of food products that they market under their
own brands'.
As a result, a company that owns several brands could choose to only put the Nutri-Score on one or some
of its brands, but when used for a brand, it must be used for all categories of food products for that brand.
However, if some or all of a brand's products are not subject to the INCO regulation, the operator is not
obligated to display the Nutri-Score on all of its brand's products.
WHAT IS THE SCOPE OF ENGAGEMENT FOR A BRAND THAT WISHES TO USE THE NUTRI-SCORE LABEL?
A brand is a distinctive sign that enables consumers to distinguish the product or service of one company
from those offered by competitors. The brand may be embodied by a proper noun, a word, an expression
or a visual symbol. It acts as a benchmark for the consumer, and perhaps even a "guarantee" of quality.
If there are separate brands, the producer or distributor may choose to register one or more of its brands.
However, if a brand, range or clientele is extended, the producer or distributor must affix the Nutri-Score
to both the parent brand and any affiliated sub-brands.
MUST THE NUTRI-SCORE ALSO BE PUT ON PRODUCTS MADE FOR THE FOODSERVICE INDUSTRY?
Companies commit to using it for all the ranges they sell under a brand, whatever the final destination of
the product may be, as the INCO regulation also applies to products that will be used by communities. So,
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if the products for use by the foodservice industry are sold under the 'Alpha' brand, they must include the
Nutri-Score
On the other hand, if the brand name is different (something other than 'Alpha'), the company is not
obligated to put the Nutri-Score on a foodservice-only brand.
This rule is applicable when the products are visible to consumers. When the products are intended for
professionals, it is possible not to affix the Nutri-Score even if the brand is engaged in the Nutri-Score.
For any use outside the European Union, the Operator must ensure that the logo does not contravene
national law.
For any use in one or more countries where the Nutri-Score has not been registered with the WIPO, the
Operator must notify Santé Publique France in order to consider a possible deposit.
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A duly authorised representative would be fully capable of completing the registration process on behalf of
a principal. Santé Publique France cannot be involved in handling and structuring the portfolio of brands
for a producer or distributor wishing to use the Nutri-Score.
It is thus entirely possible to use the services of a representative, if the operator wishes. The representative
must however complete one separate registration for each different principal.
HOW CAN SOMEONE OBTAIN THE ENGLISH TRANSLATION OF THE NUTRI-SCORE USAGE REGULATION?
An English translation of the usage regulation is now available. It can be downloaded from the Santé
publique France website (French only): http://www.santepubliquefrance.fr/Sante-publique-France/Nutri-
Score .
IS THERE A GRAPHIC CHARTER THAT LAYS OUT THE RULES FOR USING THE LOGO ON E-COMMERCE SITES?
For this application, the size of the logo is not set and it is not subject to the proportionality rules for
packages. However, it is important to ensure the logo is perfectly legible.
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The other conditions for using the logo on e-commerce sites are the same as those required when products
are sold in shops.
IS IT POSSIBLE FOR MANUFACTURERS TO REGISTER FOR AN EXCLUSIVELY DIGITAL USE OF THE NUTRI-
SCORE LOGO?
It is not possible to use the logo on digital formats as long as the involved brand is not engaged to affix the
Nutri-Score on its packaging.
In case of retailers having engaged their own private label, a digital use is authorized on other brands
distributed by the retailer (in compliance with article 7.2 of the usage regulation).
For generic communication regarding the Nutri-Score logo, the Operator can put the following on its
communication media:
1. The Neutral Logo,
2. And/or at least 3 of the 5 Classifying Logos arranged in such a way as not to mislead the consumer
regarding the classification of the brand's Products, in particular by implying that all of the brand's
products have the same classification.
Communications regarding a Product must use the appropriate Classifying Logo in compliance with the
provisions of Article 6.2 of the usage regulation.
WHAT ARE THE RULES FOR USING THE NUTRI-SCORE FOR PROMOTIONAL PURPOSES?
The rules for using the Nutri-Score for sales communications and promotions are detailed in the graphic
charter.
In these cases, the producer can choose to include the communication logo only (without emphasis
on one of the letters) and/or 3 to 5 Nutri-Score modules, all the same size and in full colour.
However, if the brand's entire engaged product range has only one or two colours, it is possible to
only display the colours that match those of the brand.
The use of the Nutri-Score logo on catalogues, flyers, etc. is optional; only its use on packaging is
mandatory. As soon as the logo is displayed on the front of the packaging, it is possible to add an
explanation of the logo at the back of the packaging. The information provided there must only
mention elements related to the score calculation. It should not mention other information related to
additives or preservatives for instance, that could give the impression that these components are part
of the calculation.
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HOW CAN THE NUTRI-SCORE LOGOS BE OBTAINED FOR EDUCATIONAL, SCIENTIFIC OR JOURNALISTIC
PRESENTATIONS?
Certain logos can be obtained by writing to the nutriscore@santepubliquefrance.fr address and including a
description of the intended use.
CAN THE NUTRI-SCORE MARK BE REPRODUCED WITHOUT PERMISSION FROM SANTÉ PUBLIQUE
FRANCE?
Wherever the Nutri-Score is used as a trademark in business, prior written permission must be obtained
from Santé publique France.
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Appendix 1: Guidance on quantifying the fruit, vegetable, pulse, nut, and
rapeseed, walnut and olive oils content of a processed product
Prior comment: only the fruits, vegetables, pulses, nuts, and rapeseed, walnut and olive oils that belong
to the groups mentioned in this appendix (as per the foundational works of Scarborough et al.) are used
to calculate the quantity of fruits, vegetables, pulses, nuts, and rapeseed, walnut and olive oils in a
processed product.
By Peter Scarborough, Mike Rayner, Anna Boxer and Lynn Stockley. British Heart Foundation Health
Promotion Research Group, Department of Public Health, University of Oxford. December 20053.
The fruit, vegetables, pulses and nuts component of the Food Standard Agency (FSA) score was initially
developed in the 2000s and was based on a food classification named Eurocode 2. An English version is
available online1.
The purpose of this document is to clarify certain points in order to standardise the manner in which the
quantity of 'fruit, vegetables, pulses, nuts and rapeseed, walnut and olive oils' in a food is evaluated so
that the score can be calculated. The points covered are:
1. Which foods are included in the vegetables category when calculating the 'fruit, vegetables,
pulses, nuts, and rapeseed, walnut and olive oils' component for the score calculation?
2. Should pureed, concentrated, dried or powdered fruits, vegetables and pulses, as well as fruit
and vegetable juices, be included when calculating the quantity of fruits and vegetables in a
product to determine the score? If so, how are the amounts of these processed fruits and
vegetables calculated?
3. Should the quantities of fruits, vegetables, pulses and nuts in a product be calculated before or
after cooking?
1. DEFINING FRUITS, VEGETABLES, PULSES AND NUTS AND RAPESEED, WALNUT AND OLIVE OILS
The Eurocode 2 classification (in English) defines the food groups. Under this system ‘Fruits’ are defined as
products in Group 9, ‘Vegetables’ as products in Group 8, 'Pulses' as products in Group 7.10, 'Nuts' as
products in Groups 7.20 and 7.40.
The groups are defined according to this classification:
i. Group 7.10 (Pulses);
ii.Group 8.10 (Leaf vegetables); 8.15 (Brassicas); 8.20 (Stalk vegetables); 8.25 (Shoot vegetables); 8.30
(Onion-family vegetables); 8.38 (Root vegetables); 8.40 (Fruit vegetables); 8.42 (Flower-head vegetables);
3
accessed from
https://www.researchgate.net/publication/267194254_Application_of_the_Nutrient_profiling_model_Definition_of
_'fruit_vegetables_and_nuts'_and_guidance_on_quantifying_the_fruit_vegetable_and_nut_content_of_a_processe
d_product
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8.44 (Pod vegetables); 8.45 (Seed vegetables and immature pulses); 8.47 (Sprouted seed vegetables); 8.50
(Edible fungi); 8.55 (Seaweeds and algae); 8.60 (Vegetable mixtures)
iii Group 9.10 (Malaceous fruit); 9.20 (Prunus species fruit); 9.25 (Other stone fruit); 9.30 (Berries); 9.40
(Citrus fruit); 9.50 (Miscellaneous fruit); 9.60 (Fruit mixtures).
A list of the various foods in these codes is found in the abstract at the end of this appendix.
Herbs, listed in group 12.30 of the Eurocode 2 classification, are also included in the component as well as
olive, walnut and rapeseed oil.
Clarifications:
Coconut presents particular issues because it is eaten in a different way to other nuts.
Depending on how it is eaten, it can be included in the following groups:
- fresh coconut flesh should be scored as fruit
- the water of the coconut (or “coconut water”, defined as the liquid extracted from the centre of the
unripe green coconut, without extracting or pressing the coconut flesh) should be scored as fruit juice
- the coconut milk (obtained by extracting or squeezing the coconut flesh of a ripe coconut) should be
scored as fruit. However, to calculate coconut milk score, it has to be considered as food.
- coconut cream should be scored as added fat
- desiccated and dried coconut are equivalent to dried fruit
- coconut which is processed beyond the original product should not be included.
Pickles are a variety of CUCUMIS SATIVUS, like cucumber. In light of the botanical name, they are
listed as vegetables.
Capers are not listed, they are not included in vegetable calculations.
Tubers, particularly potatoes and other starchy vegetables (such as yams or manioc from Group 8.34)
are excluded from the calculations.
Pulse and maize flours are not counted for the fruit and vegetables calculations either.
Quinoa, the nutritional composition of which is similar to that of cereals, is not considered a vegetable.
Spices: do not belong to generic Eurocode group 8 (which contains vegetables), but to group 4 instead.
Chia, poppy, sunflower, flax seeds and pine nuts that belong to Eurocode group 7.30 not covered by the
FSA document.
Other foods that do not belong to Eurocode groups 9, 8, 7.10, 7.20, 7.40 and 12.30.
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Acceptable levels of processing for inclusion in the calculation
The health benefits of fruits and vegetables are associated with the whole product, including the vitamins
they provide.
Processing can result in loss of fibre and vitamins. Therefore, it would not be appropriate for ingredients
such as concentrated fruit juice sugars that are added to foods to increase sweetness to count for the
purpose of calculating a score in the same way as intact fruit and vegetables.
Intact fruits and vegetables (including those that are cooked and dried) and minimally processed fruit,
vegetables and pulses (peeled, sliced, tinned, frozen, purees, pulp, grilled, roasted or marinated) count
for the purpose of calculating a score. Roasted nuts can be also counted. Remember that fruits,
vegetables, pulses and nuts only count when their content exceeds 40%.
However, fruits, vegetables and pulses that are subject to further processing (e.g. concentrated fruit juice
sugars, powders, freeze-drying, candied fruits, fruits in stick form, flours leading to loss of water) do not
count. As an example, corn in the form of popcorn or soy proteins cannot be considered as vegetables.
Regarding the frying process, fried vegetables which are thick and only partially dehydrated by the process
can be taken into account, whereas crisps which are thin and completely dehydrated are excluded.
Fruits and vegetable juices can be taken into account for the following categories, based on the Codex-Stan
247-2005:
Fruit juice (as described in Codex-Stan 247-2005 2.1.1.1)
Fruit juice from concentrate (as described in Codex-Stan 247-2005 2.1.1.2)
Fruit nectar (as described in Codex-Stan 247-2005 2.1.6)
Fruit puree for use in the manufacture of juices and nectars (as described in Codex-Stan 247-
2005 2.1.4).
Other categories are excluded for the Fruit and vegetable component:
Water extracted fruit juices (as described in Codex-Stan 247-2005 2.1.3)
Concentrated fruit juice (as described in Codex-Stan 247-2005 2.1.2). Only 100% reconstitution
shall be taken into account.
Concentrated Fruit Purée for use in the manufacture of Fruit Juices and Nectars (as described in
Codex-Stan 247-2005 2.1.5). Only 100% reconstitution shall be taken into account.
Fruit or vegetable content in alcohol-free beverages cannot be counted.
Methods for calculating processed fruits, vegetables and pulses
Previous work has found that:
• 15-20 g of dried fruit and 25-30 g of ready-to-eat (semi-hydrated) fruit are equivalent to 80 g of fresh
fruit.
• 40 g of dried pulses are equivalent to 80 g of fresh pulses.
• 20 g of tomato concentrate and 25 g of tomato ketchup are equivalent to 80 g of fresh tomato.
This would suggest that, for the purposes of calculating nutrient profiling scores, the amount of dried fruit
or vegetables/pulses or concentrated vegetable present in a food should be multiplied by a standard factor
when calculating the amount per 100 g of a product. However, this procedure could result in anomalous
results. For example, if the amount of dried fruit in a ‘fruit and cereal bar’ were to be multiplied by 2, then
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a bar weighing 75 g and containing 50 g dried fruit would appear to have a fruit content of 100/75 = 133%,
despite there being 25 g of non-fruit constituents.
That is why the decision was made to multiply the amount of fresh or concentrated fruit or
vegetables/pulses by an agreed amount and divide by the weight of the non-fruit/vegetable constituents,
plus that of the fruit or vegetable multiplied by the agreed amount. A multiplier of 2 was viewed as optimal.
Therefore, so as not to over-emphasise their importance to a healthy diet, the weight of dried fruit and
vegetables/pulses and concentrated vegetables/pulses should be multiplied by 2 when calculating the
amount of fruit and vegetables/pulses in 100 g of food.
For reminder, concentrated fruit juices and puree that have not been rehydrated to 100% cannot be taken
into account.
In the above example, using a multiplier of 2, the fruit content of the fruit and cereal bar would be:
(50 x 2) / (25 + (50 x 2)) = 100/125 = 80%.
The factor of 2 applies, regardless of the concentration factor. It is not possible to use the reconstitution
factor in accordance with the 2012/122/EC directive. Moreover, even if the grammage or percentage of
tomato is given in the list of ingredients once reconstituted in accordance with the 2012/122/EC directive,
the score must be calculated based on the concentrated product (before reconstitution) by applying the
factor of 2.The multiplier of 2 should only be applied to prepared concentrated purees such as tomato
puree. For a triple-concentrated tomato puree, the same multiplier of 2 is applied.
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SUMMARY OF RECOMMENDATIONS
The percentage of fruits, vegetables, pulses, nuts and rapeseed, walnut, and olive oils in 100 g of food is
calculated as follows:
f, v, p, n & o: fruits, vegetables, pulses, nuts, and oils, including juices and purees;
Dried f, v, p : includes vegetable concentrates
Vegetables:
- Leaf vegetables: endive, lettuce (all types: leaf lettuce, arugula, escarole, etc.), spinach, lamb's
lettuce, dandelion greens, nettle, beet greens, sorrel, etc.
- Brassicas: cabbage (all types: cauliflower, red cabbage, Brussels sprouts, curly kale, green
cabbage, Chinese cabbage, watercress, radish, broccoli, etc.)
- Stalk vegetables: celery, fennel, rhubarb
- Shoot vegetables: asparagus, chicory, globe artichoke, palm hearts, bamboo shoots, taro shoots,
etc.
- Onion, shallot, leek, garlic, chive, parsley, other herbs
- Root vegetables: carrot, salsify, celeriac, radish, parsnip, beetroot, chicory root
- Fruit vegetables: tomato, aubergine, cucumber, courgette, sweet pepper, chilli pepper, squash,
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various gourds, green banana, plantain, avocado, olive, pickle
- Flower-head vegetables: pumpkin flower
- Sprouted vegetables: pea, broad bean, sweet corn, soya bean
- Edible fungi
- Seaweeds and algae
Pulses:
- Peas (various types: chickpea, green pea, pigeon pea, etc.)
- Beans (various types: Lima, red, etc.)
- Lentils (various types: green, yellow, French, etc.)
- Cowpea, soya bean, carob bean, broad bean, etc.
Nuts include:
Walnut, hazelnut, pistachio, Brazil nut, cashew, pecan, coconut (see clarifications above), peanut,
almond, chestnuts
Oils include:
Rapeseed, walnut and olive oils
Elements that are not counted in the score calculation are detailed in the previous section.
Calculating the amount of fruit, vegetables, pulses and nuts in a processed product
Only intact and minimally processed fruits, vegetables and pulses should count for the purpose of
calculating a score. Fruits and vegetables that have been subject to further processing should not count
(see details of processing above).
Nuts count, whether they are whole, dried, light-dried, roasted, chopped, grated or ground.
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EXAMPLES
f, v, p, n & o: fruits, vegetables, pulses, nuts, and oils, including juices and purees;
Dried f, v, p: includes vegetable concentrates
• 15 g of cherries,
• 25 g of raisins,
• 15 g of mixed nuts,
• 95 g of other non-fruit, vegetable, pulse or nut ingredients
• 50 g of cooked vegetables
• 20 g of tomato concentrate
• 250 g of other ingredients
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Appendix 2: Methods for calculating the nutritional score
The nutritional score uses the nutrients and ingredients within the food that have a significant
impact on health to derive a unique estimated value of the nutritional quality of the food on an
ordinal scale ranging from "negative fifteen" -15 (more nutritious) to "positive forty" +40 (less
nutritious).
The Nutri-Score is a graphic scale that divides the nutritional score into 5 classes (expressed by a
colour and a letter), the purpose being to help the consumer better see, interpret and understand
the nutritional quality. The point is not to separate 'good' foods from 'bad' foods, but rather to use
the 5 classes to distinguish foods that are healthier from those that are less healthy. This also helps
food producers to decide how to reformulate their products so they can move to a higher class and
helps consumer think about their health as they are making choices about food.
The nutritional calculation algorithm as described in the order notified to the Commission and the method
for determining Nutri-Score classification thresholds are publicly available; this was done to make the
system more transparent and reproducible.
The nutritional score is calculated using the nutritional data listed on the package for 100 g of the product,
whose nutrients form part of the mandatory nutritional declaration or are included as supplemental
information, in accordance with Article 30 of the INCO regulation no. 1169/2011:
- Calories (Kcal/KJ)
- Amount of fat (g)
- Amount of saturated fatty acids (g)
- Amount of carbohydrates (g)
- Amount of sugars (g)
- Amount of protein (g)
- Amount of salt (mg)
- Fibre (g)
Through the vitamins they contain, fruits, vegetables, pulses and nuts are major contributors to public
health and help ensure that the information provided is consistent with nutritional guidelines. They are also
counted for the FSA score. As the food must contain at least 40% fruits, vegetables pulses and nuts, the
information is available in the ingredient list, to the extent that for these products, the fruits and vegetables
are mentioned in the legal name of the product (Article 9 of INCO regulation no. 1169/2011, (Europa
Summary of EU legislation 2012)).
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Score Calculation Methods: General
The score comprises two dimensions: positive points (corresponding to the 'unfavourable' components, an
excess of which is considered unhealthy: calories, sugars, sodium and saturated fatty acids4) and negative
points (corresponding to 'favourable' components: fruits, vegetables, pulses, nuts, and rapeseed, walnut
and olive oils, protein and fibre, an adequate amount of which is considered healthy).
- Between 0 and 10 points are awarded for each of these 4 'unfavourable' components, based on the
amount in 100 g of the food. Points are assigned based on the reference intake for the nutrient in
question. First, the 'unfavourable' components are totalled, resulting in a number of positive points
(maximum of +40).
- Between 0 and 5 points are awarded for the 3 'favourable' components (0 to 10 points for
beverages), based on the amount in 100 g of the food (maximum of -15).
Depending on the number of positive points, either all of the 'favourable' components are subtracted, or
only the fibre and, the “fruits, vegetables, pulses, nuts, and rapeseed, walnut and olive oils” components,
according to the following rules.
If the total for the N component is less than 11 points, then the nutritional score is equal to the
total N component points minus the total for the P component.
If the total for the N component is greater than or equal to 11 points and
If the total for “Fruits, vegetables, pulses, nuts, and rapeseed, walnut and olive oils” is
equal to 5 (10 for beverages), then the nutritional score is equal to the total N
component points minus the total for the P component.
If the total for “Fruits, vegetables, pulses, nuts, and rapeseed, walnut and olive oils” is
less than 5 (10 for beverages), then the nutritional score is equal to the total N
4
See: EU framework for national initiatives on selected nutrients (salt, energy and saturated fatty acids, added
sugars (2008, 2011, 2015)
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component points minus the sum of the points for “fibres” and “Fruits, vegetables,
pulses, nuts, and rapeseed, walnut and olive oils”. In this case, the protein content is
therefore not taken into account in the calculation of the nutritional score.
The diagram below summarises the formula to be applied in the listed scenarios.
*the score may be 10 for beverages (see the specific attribution table below)
The point table generally used to calculate the nutritional score is as follows:
- Points assigned for nutrients that have a negative impact on the nutritional score (N)
Saturated
Energy density Sugars Sodium
Points fatty acids
(kJ/100g) (g/100g) (mg/100g)1
(g/100g)
0 < 335 < 4.5 <1 < 90
1 > 335 > 4.5 >1 > 90
2 > 670 >9 >2 > 180
3 > 1005 > 13.5 >3 > 270
4 > 1340 > 18 >4 > 360
5 > 1675 > 22.5 >5 > 450
6 > 2010 > 27 >6 > 540
7 > 2345 > 31 >7 > 630
8 > 2680 > 36 >8 > 720
9 > 3015 > 40 >9 > 810
10 > 3350 > 45 > 10 > 900
1
: the sodium content corresponds to the salt content listed in the mandatory declaration divided by 2.5.
- Points attributed for nutrients that have a positive impact on the nutritional score (P)
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Fruits,
vegetables,
pulses, nuts,
Fibre (g/100g) Protein
Points and
(g/100g)
rapeseed,
walnut and
olive oils (%)
0 < 40 < 0.9 < 1.6
1 > 40 > 0.9 > 1.6
2 > 60 > 1.9 > 3.2
3 - > 2.8 > 4.8
4 - > 3.7 > 6.4
5 > 80 > 4.7 > 8.0
Cheeses
Cheeses are included under the definition of dairy products, which should be consumed several times a
day. The guidelines encourage consumers to take note of the amount of fat (to be avoided) and calcium (to
be encouraged).
There is a strong correlation between the protein and calcium content of dairy products (Rayner et coll.
2005). Calcium is not one of the nutrients subject to mandatory declaration. That is why the score
modification consists solely of ensuring that the amount of protein in cheeses is always counted (which
would otherwise be precluded by their salt, calorie and saturated fatty acid content, as these result in a
total N value that exceeds 11). This ensures that their relative calcium content is accounted for.
Thus, the protein content is counted, whether the N point total is <11 or not, and the thresholds for the
other food categories remain the same. Cheeses are divided into three Nutri-Score classes.
Added fats
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The French national nutrition health programme (PNNS) recommends privileging plant-derived fats and
limiting animal fats (butter and cream). The classification obtained with the original FSA score calculation
that put all added fats in the 'dark orange/E' category does not seem consistent with nutritional guidelines.
Thus, the FSA score algorithm must be optimised to better account for saturated fatty acid contents5. The
points table for fatty acids is calculated based on the total saturated fatty acid/lipid component (as a
percentage) with the table for assigning points starting at 10% and increasing by steps of 6%.
The total saturated fatty acids/lipids calculation replaces the saturated fatty acids column, but the other
columns must be used.
Ratio
Points total saturated fatty acids/lipids
(%)
0 <10
1 <16
2 <22
3 <28
4 <34
5 <40
6 <46
7 <52
8 <58
9 <64
10 ≥64
Beverages:
For beverages, the nutritional composition specific to this category must be accounted for, especially the
sugar content. Modifications have been made in order to improve consistency between the Nutri-Score
classification and nutritional guidelines (Haut Conseil de la Santé Publique 2015). Water is the only beverage
recommended by international bodies. That is why water is always kept distinct from all other beverages
(including those with 0 calories). Furthermore, the latest scientific research suggests that drinking
sweetened (calorie-free) beverages has a negative impact on health (Fowler et coll. 2008;Narain et coll.
2017) or at least that there is no benefit from consuming these products (ANSES 2015b).
5
EU framework for national initiatives on selected nutrients saturated fatty acids (2011)
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Fruits, vegetables,
Energy density
Sugars (g/100g or pulses, nuts, and
Points (kJ/100g or
100mL) rapeseed, walnut and
100mL)
olive oils (%)
0 ≤0 ≤0 ≤40
1 ≤30 ≤1.5
2 ≤60 ≤3 >40
3 ≤90 ≤4.5
4 ≤120 ≤6 >60
5 ≤150 ≤7.5
6 ≤180 ≤9
7 ≤210 ≤10.5
8 ≤240 ≤12
9 ≤270 ≤13.5
10 >270 > 13.5 >80
Assigning Colours
The Nutri-Score logo is attributed based on the score obtained (see table below).
Points
Logo
Solid foods Beverages
Min to -1 Waters
0-2 Min - 1
3 - 10 2-5
11 - 18 6-9
19 - max 10 - max
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