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Indonesia Consults Over Draft Law on Food Packaging

SafeGuardSHardgoodsDecember 12, 2024

SG 171/24

Indonesia has informed the World Trade Organization (WTO) of its draft regulation on food contact materials and articles. Comments are being accepted until January 27, 2025.

In November 2024, the WTO announced a draft piece of legislation from Indonesia’s Food and Drug Authority (Badan Pengawas Obat dan Makanan (BPOM)) on food packaging materials (FPM).

Highlights of the proposed law, attached to WTO document number 24-8412, are summarized in Table 1.


Section to Draft RegulationHighlights
Chapter II ‘Food Packaging Materials’
  • Scope of FPM:

    • Ceramics
    • Glass
    • Metals and alloys
    • Multilayer materials
    • Paper and cardboards
    • Plastics
    • Rubber and elastomers

  • The FPM above must meet overall migration (OM) and/or specific migration (SM) requirements (Appendixes I-V) 
Chapter III ‘Food Contact Substances’
  • Permits food contact substances (FCS) in Appendix IV to be used in food packaging
Chapter IV ‘Food Packaging from Recycled Materials’
  • The provisions for FPM apply mutatis mutandis to recycled materials
Chapter V ‘Assessment’
  • FPM and/or FCS other than those listed in Appendices I and IV may only be permitted to be used upon approval from the Head of the Agency based on safety assessment (see Appendix VI for example of ‘Request Form for Assessment’)

    • The above point also applies to materials that are readily decomposed in the environment
Chapter V ‘Transitional Provisions’
  • Food packaging in circulation must comply with the new law within 12 months from the day the legislation is enacted
Chapter VI ‘Closing Provisions’
Appendix I ‘Migration Limit Requirements for FPM’
  • Establishes a set of general requirements for food contact plastics:

    • ≤ 60 mg/kg or 10 mg/dm2 for OM
    • Not detected (ND) for SM of each of arsenic, total chromium and mercury (LOD 0.01 mg/kg)
    • ND for SM of cadmium (LOD 0.002 mg/kg)
    • ≤ 05 mg/kg for SM of lead

  • Defines specific requirements for SM of 55 different types of plastic
  • Details general requirements for food contact rubber and elastomeric materials
  • Describes SM requirements for 23 types of rubber and elastomer
  • ≤ 0.01 mg/kg N-nitrosamines and ≤ 0.1 mg/kg N-nitrosatable substances for food contact rubber and/or elastomers intended for infants/children
  • Sets forth OM and heavy metal content limits for uncoated paper and cardboards according to SNI 8218:2015 ‘Paper and cardboards for food packaging’ or the latest and most recent provisions
  • Sets out migration of lead and cadmium requirements for food contact glass and ceramics
  • Details general requirements for extractable lead and cadmium in metals and alloys
  • Defines SM requirements for specific types of metal and alloy
  • Defines requirements for multilayer materials
Appendix II ‘Migration Testing’
  • Describes methods for migration testing
Appendix III ‘Overall Migration and Specific Migration Testing of Plastic FPM Intended for Reuse’
  • Details migration testing for repeated use food contact plastics
Appendix IV ‘Food Contact Substances Permitted for use as Food Packaging’
  • A positive list containing more than 1,300 entries of authorized substances with specifications for food contact use
Appendix V ‘Food Contact Substances Prohibited for use as Food Packaging’
  • Prohibits 142 substances in FCP
Appendix VI ‘Example of Request Form for Assessment’
  • Provides an example of an application form for the safety of food packaging

Table 1

SGS has the expertise to help manufacturers and suppliers of FCM achieve compliance with markets around the globe. Our technical experts have extensive experience of testing materials and articles for many markets. We offer the full range of FCM testing, including migration tests, along with expert advice on emerging regulations, compliance issues and documentation review. Our experience can ensure your products meet the appropriate territorial regulations for food contact materials and help pave the way for compliance. Contact us to know more or visit our website. In the end, it’s only trusted because it’s tested.

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