The purpose of this letter is to follow up on remarks presented on behalf of the Food Marketing Institute1 (FMI) to the National Organic Standard Board (NOSB) at the May 5, 2009 meeting by providing FMI’s written comments for the docket. In particular, FMI is presenting the association’s views on the proposed NOSB guidance document on voluntary organic program certification for retail food stores, such as grocery stores and supermarkets.

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