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Geographical indications and traditional specialities in the European Union

Three European Union schemes of geographical indications and traditional specialties, known as protected designation of origin (PDO), protected geographical indication (PGI), and traditional speciality guaranteed (TSG), promote and protect names of agricultural products and foodstuffs.[1] Products registered under one of the three schemes may be marked with the logo for that scheme to help identify those products. The schemes are based on the legal framework provided by the EU Regulation No 1151/2012 of the European Parliament and of the Council of 21 November 2012 on quality schemes for agricultural products and foodstuffs.[2] This regulation applies within the EU as well as in Northern Ireland. Protection of the registered products is gradually expanded internationally via bilateral agreements between the EU and non-EU countries. It ensures that only products genuinely originating in that region are allowed to be identified as such in commerce. The legislation first came into force in 1992. The purpose of the law is to protect the reputation of the regional foods, promote rural and agricultural activity, help producers obtain a premium price for their authentic products, and eliminate the unfair competition and misleading of consumers by non-genuine products,[3] which may be of inferior quality or of different flavour. Critics argue that many of the names, sought for protection by the EU, have become commonplace in trade and should not be protected.[4]

European Union protected geographical indication (PGI) logo

These regulations protect the names of wines, cheeses, hams, sausages, seafood, olives, olive oils, beers, balsamic vinegar, regional breads, fruits, raw meats and vegetables.

Based on these regulations, within the EU (and certain jurisdictions outside the EU), food such as gorgonzola, Parmigiano-Reggiano, feta, the Waterford blaas,[5] Herve cheese, Melton Mowbray pork pies, Piave cheese, Asiago cheese, camembert, Herefordshire cider, cognac, armagnac, and champagne can only be labelled as such if they come from the designated region. To qualify as roquefort, for example, cheese must be made from milk of a certain breed of sheep, and matured in the natural caves near the town of Roquefort-sur-Soulzon in the Aveyron region of France, where it is colonised by the fungus Penicillium roqueforti that grows in these caves.[6]

This system is similar to national appellation systems used throughout Europe, such as the appellation d'origine contrôlée (AOC) used in France, the denominazione di origine controllata (DOC) used in Italy, the denominação de origem controlada (DOC) used in Portugal, the denumire de origine controlată (DOC) system used in Romania and the denominación de origen (DO) system used in Spain. In many cases, the EU PDO/PGI system works parallel with the system used in the specified country. In some cases it is subordinated to the appellation system that was previously instituted, particularly with wine, for example, and in France (in particular) with cheese, where for example Maroilles has both PDO (appellation d'origine protégée (AOP) in French) and AOC classifications, but generally only the AOC classification will be shown.

Protection and enforcement edit

In countries where laws on protected geographical status are enforced, only products which meet the various geographical and quality criteria may use the protected indication. It is also prohibited to combine the indication with words such as "style", "type", "imitation", or "method" in connection with the protected indications or to do anything which might imply that the product meets the specifications, such as using distinctive packaging associated with the protected product.[citation needed]

Protected indications are treated as intellectual property rights by the Customs Regulation 1383/2003 (Regulation concerning customs action against goods suspected of infringing certain intellectual property rights and the measures to be taken against goods found to have infringed such rights),[1] and infringing goods may be seized by customs on import. Within the European Union, enforcement measures vary: infringement may be treated as counterfeit, misleading advertising, passing off or even as a question of public health. Outside Europe, the protection of PGS products usually require bilateral agreements between the EU and the importing countries, while protected indications may not always supersede other intellectual property rights such as trademarks.[citation needed]

On 15 November 2011, the European Court of Auditors presented its report Do the design and management of the geographical indications scheme allow it to be effective?[7] to the European Parliament.[citation needed]

Objectives of the protection edit

The preambles to the regulations cite consumer demand for quality foodstuffs, and identify a number of goals for the protection regimes:

  • the promotion of products with specific characteristics, particularly those coming from less-favoured or rural areas;
  • the improvement of the income of farmers, in return for a "genuine effort to improve quality";
  • the retention of population in rural areas;
  • the provision of clear and succinct information to consumers regarding product origin.

The provision of a recompense for efforts to improve quality and the need for consumer protection are often cited as justifications for trade mark protection in other domains, and geographical indications operate in a similar manner to trademarks.

General regime edit

The general regime governs the use of protected designations of origin (PDO) and protected geographical indications (PGI) for food and certain other agricultural products. There are separate regimes for spirits and for aromatised drinks (geographical designations) as well as for wines (geographical indications, often referred to as appellations). The origin of the product is only one of the criteria for use of the protected terms: the product must also meet various quality criteria. The label "Traditional Specialities Guaranteed" (TSG) is a similar protected term which does not impose any restrictions on the geographical origin of the product.[citation needed]

The protection of geographical indications was extended to foodstuffs and other agricultural products in 1992.[2] Given the widely different national provisions, this "general regime" gives much more power to the European Commission (compared to the special regimes) to ensure a harmonised protection across the European Union. It is currently governed by the Regulation on the protection of geographical indications and designations of origin for agricultural products and foodstuffs (No 510/2006).[3]

To qualify for a PDO, the product must have qualities and characteristics which are essentially due to its region of production: it must also be produced, processed and prepared exclusively within that region. The requirement for a PGI are slightly less strict; a good reputation of a product from a given region is sufficient (rather than objectively different characteristics) if any of the steps of production, processing and preparation may take place within the region. Otherwise the protection afforded by the two terms is equivalent.[citation needed]

An application for a PDO or a PGI is first made to the authorities of the relevant Member State. It is judged by the Member State against the criteria in the Regulation and, if found to be acceptable, forwarded to the European Commission for final approval. Applications are published at both the national and Community stages of examination, and third parties can object to proposed PDOs or PGIs which they feel would harm their business. A recurrent objection is that the proposed denomination is a generic term for the product in question: generic names cannot be registered but, once registered, the denominations are protected from genericisation. Hence Cheddar cheese was deemed to be a generic name, but the PDO "West Country farmhouse Cheddar cheese" was allowed.[8] Feta was deemed not to have become generic, and was registered as a PDO to the disappointment of cheesemakers outside of Greece.[citation needed]

Description of the regimes edit

Protected designation of origin (PDO) edit

The Protected designation of origin is the name of an area, a specific place or, in exceptional cases, the name of a country, used as a designation for an agricultural product or a foodstuff,[9]

  • which comes from such an area, place or country,
  • whose quality or properties are significantly or exclusively determined by the geographical environment, including natural and human factors,
  • whose production, processing and preparation takes place within the determined geographical area.

In other words, to receive the PDO status, the entire product must be traditionally and entirely manufactured (prepared, processed and produced) within the specific region and thus acquire unique properties.

Protected geographical indication (PGI) edit

The protected geographical indication is the name of an area, a specific place or, in exceptional cases, the name of a country, used as a description of an agricultural product or a foodstuff.[9]

  • which comes from such an area, place or country,
  • which has a specific quality, goodwill or other characteristic property, attributable to its geographical origin,
  • at least one of the stages of production, processing or preparation takes place in the area.[10]

In other words, to receive the PGI status, the entire product must be traditionally and at least partially manufactured (prepared, processed or produced) within the specific region and thus acquire unique properties.

Traditional specialities guaranteed (TSG) edit

The TSG quality scheme aims to provide a protection regime for traditional food products of specific character. Differing from PDO and PGI, this quality scheme does not certify that the protected food product has a link to specific geographical area and a product can thus be produced outside the area or country from which it originates.

To qualify for a TSG a food must be of "specific character" and either its raw materials, production method or processing must be "traditional". Under Art. 3 of Regulation 1151/12 "specific character" is defined as "the characteristic production attributes which distinguish a product clearly from other similar products of the same category". Under Art. 3 of Regulation 1151/12 "traditional" is defined as "proven usage on the domestic market for a period that allows transmission between generations; this period is to be at least 30 years".[9]

For a food name to be registrable under the TSG scheme it must (a) have been traditionally used to refer to the specific product; or (b) identify the traditional character or specific character of the product.

A TSG creates an exclusive right over the registered product name. Accordingly, the registered product name can be used by only those producers who conform to the registered production method and product specifications.

"The legal function of the TSG is to certify that a particular agricultural product objectively possesses specific characteristics which differentiate it from all others in its category, and that its raw materials, composition or method of production have been consistent for a minimum of 30 years. Thus, TSG food denominations are registered trade signs with a distinctive function."[11]

As of 14 November 2021, 65 TSG have been registered (see list), all of which originate from the EU or the UK.[12]

Relationship to trademark law edit

In principle, a similar protection to a geographical indication could be obtained through a collective trademark. Indications which serve exclusively to identify the place of origin of goods are not registrable as trademarks under Art. 6quinquies.B.2 of the Paris Convention for the Protection of Industrial Property (Paris Convention), which has effect in European Union law by Art. 7 of the Regulation on the Community trade mark (No 40/94)[4] and by Art. 3 of the Directive to approximate the laws of the Member States relating to trademarks (89/104/EEC);[5] however, marks which also serve to identify the quality of a product originating in a certain region may be registered so long as they have not become generic in the trade concerned.[citation needed]

Trademarks which have been registered before the registration of a PDO or a PGI may continue to be used, but the registration of an equivalent trademark after the approval of a PDO or PGI is impossible (Art. 13, Regulation (EC) No 510/2006). The existence of a trademark (registered or unregistered) may be a reason to refuse the registration of a PDO or a PGI [Art. 7(3)(c), Regulation (EC) No 510/2006]. Hence the Polish geographical designation "Herbal vodka from the North Podlasie Lowland aromatised with an extract of bison grass" (Polish: Wódka ziołowa z Niziny Północnopodlaskiej aromatyzowana ekstraktem z trawy żubrowej), so phrased as to avoid infringing the trademark "Żubrówka."[citation needed]

Special regimes edit

The protection of geographical indications for wines and other alcoholic drinks was historically the first to be developed at both national and Community level. It is also the only protection which is recognised by the Agreement on Trade-Related Aspects of Intellectual Property Rights (TRIPS), administered by the World Trade Organization, although the European Union is pushing for other geographical indications to be included in the Doha Round of world trade negotiations.

Wines edit

European Union rules governing the production of wine ("the product obtained exclusively from the total or partial alcoholic fermentation of fresh grapes, whether or not crushed, or of grape must") are considerably longer than EU trade mark law: the main text, the Regulation on the common organisation of the market in wine (No 1493/1999),[6] runs to over 46,000 words. To be considered as a "quality wine", the wine must come from a specified region and be associated with a "geographical indication" or appellation: indeed, the technical term used in the Regulation is quality wine psr, with the "psr" standing for "produced in a specified region". Wines which do not meet this requirement may only be marketed as table wine.

There has been little harmonisation of national provisions within the European Union. Member States delimit the specified areas of production and determine the rules and appellations which apply: the European Commission restricts itself to publishing the information provided by the Member States. Appellations are usually the geographical name of the area in which the wine is produced, although there are some historical exceptions: muscadet and blanquette in France, cava and manzanilla in Spain and vinho verde in Portugal. The appellations are not necessarily unique: Cava may refer either to a quality sparkling wine psr produced in Spain or to a Greek table wine which has been aged (as a transliteration of "Κάβα").

Spirits edit

The Regulation laying down general rules on the definition, description, presentation, labelling and protection of spirit drinks (110/2008)[13][14] provides for a double system of protection of spirit descriptions. Spirits are divided into 46 categories, which each have rules for fabrication and minimum strength. Within these categories, certain names are reserved for drinks from particular countries, for example ouzo, which is aniseed-flavoured spirit drink which must have been produced exclusively in Greece or Cyprus, or grappa, which is a grape marc spirit produced in Italy, or pálinka, which is a purely fruit based spirit produced in Hungary (or parts of Austria for apricot spirits only). The Regulation also defines a number of geographical designations, which are reserved for drinks which "acquired their character and definitive qualities" in the area denominated. The exact delimitation of the areas and any other regulations are left to the Member States concerned. By way of derogation, the designations Königsberger Bärenfang and Ostpreußischer Bärenfang are permitted for certain German drinks even though they refer to Königsberg (Kaliningrad) and East Prussia which are no longer part of Germany.

Aromatised drinks edit

 
Vermouth

The Regulation laying down general rules on the definition, description and presentation of aromatised wines, aromatised wine-based drinks and aromatised wine-product cocktails (No 251/2014)[15] institutes a system of protected denominations for aromatised drinks which is very similar to that for spirits. The association of general names with specific countries is weaker: a drink labelled simply "Sangria" must have been produced in Spain or Portugal, for example, but it is permissible to label a drink "Sangria produced in the United Kingdom: aromatised wine-based drink" if the drink meets the other requirements to be described as sangria. Similarly, the denomination "Clarea" on its own is reserved for drinks produced in Spain. As of January 2020, the protected geographical designations are:[16]

Within the European Union edit

Article 13 of this legislation states that registered designations are protected against:

... any usurpation or imitation, even if the true origin of the product is indicated or if the appellation is used in translated form or accompanied by terms such as "kind", "type"...

This legislation expanded the 1951 Stresa Convention, which was the first international agreement on cheese names. Seven countries participated: Austria, Denmark, France, Italy, Norway, Sweden, and Switzerland.

 
Stilton – an example of an origin protected product

Selected products include Prosciutto Toscano (PDO) from Italy, bryndza podhalańska (PDO) and oscypek (PDO) from Poland, Marchfeldspargel (PGI) from Austria, Lübecker Marzipan (PGI) from Germany, Scotch Beef and Lamb (PGI) from Scotland, bryndza (PGI) and Oštiepok (PGI) from Slovakia, Kaszëbskô malëna (Kashubian garden strawberry) (PGI) from Poland.[citation needed]

 
A PDO apple

In certain cases, the name of widely popular products became generic, and therefore could not be protected afterwards. Cheddar cheese, for instance, originating in the English village of Cheddar, is produced in many countries, including the US, Canada, Australia and New Zealand. Hence the "Cheddar" name is not protected, but the more specific name "West Country Farmhouse Cheddar" is. Other products are protected in Europe but not elsewhere: Buffalo Mozzarella for instance is protected in Europe, but the name is used without restrictions by US dairy companies.[17]

The geographical limitations are strict: Newcastle Brown Ale was restricted to being brewed in the city of Newcastle upon Tyne in England. However, having obtained this protection for their product, the brewery decided in 2004 that it would move across the river Tyne to Gateshead. As Gateshead is a separate town—albeit only the width of the river apart—it does not fall within the required geographical restriction. The brewery then applied to the European Union authorities to have the geographical restriction revoked. If the restriction had not been revoked, the brewery would have been forced either to move back to Newcastle, or stop calling its beer "Newcastle" brown ale.[18] Ultimately, the brewery's application to revoke the geographic restriction was approved.[19] Similarly, Stilton cheese can only be produced in the three English counties of Derbyshire, Leicestershire, and Nottinghamshire. Stilton village is in the traditional county of Huntingdonshire, now a district of Cambridgeshire, so Stilton cheese cannot be produced in Stilton (although it is unclear whether the cheese was ever produced there. Quenby Hall in Leicestershire claims to be the first producer).[citation needed]

New Season Comber Potatoes or Comber Earlies were awarded PGI status in 2012. Only immature potatoes grown in the restricted geographical area surrounding the town of Comber in Northern Ireland harvested between the start of May and the end of July can be marketed as Comber Earlies.[20]

Outside the European Union edit

There is no automatic protection for these names on products both made and sold outside the EU, except for Northern Ireland, where the relevant regulation applies. However, there are a number of bilateral agreements with the EU for some level of enforcement. Agreements of this type exist between the EU and Australia (wine, 1994) (but not cheese), Canada (wine and spirits, 2003), China, Chile (wine and spirits, 2002), Colombia (2007, coffee) Mexico (1997, spirit drinks), and South Africa (2002, wine and spirits).[3]

Besides dedicated agreements on geographical indications, mutual recognition of geographical indications is part of free trade agreements, such as Association Agreements (e.g. with Armenia, Ukraine and Moldova). Geographical indications are (following an objection period where GIs can be refused) furthermore protected in the member states of the 2015 Geneva act to the Lisbon Agreement for the Protection of Appellations of Origin and their International Registration, to which (apart from the EU and some of its member states) also Albania, Cambodia, Samoa, Laos and North Korea are parties. However, as of August 2021, the EU has not submitted any Geographical Indications for registration.

As the Geographic indication scheme of the EU is not limited to products from EU-locations, also products from outside the EU have received the designation. For example Colombian coffee was protected by the PDO in August 2007.[21]

Australia edit

Following an agreement during the 1990s by the Australian Wine and Brandy Corporation and the Australian and EU governments, the others' GIs and the nations' traditional terms of winemaking were meant to have been protected by 1997. However, this has been proceeding slowly, and while some GIs have been protected in Australia, others are still available for use (primarily for products that have always been called that). It seems unlikely it will have any effect on colloquial speech in the short term.[citation needed]

China edit

China recognizes Geographical Indication Products. One such product is Yongfeng chili sauce (Chinese: 永丰辣酱), also called Yongfeng hot sauce.[22][23][24]

Canada edit

In Canada, a 2003 agreement made with the EU provides for protection of the names of wine and spirits.[25]

Under the Comprehensive Economic and Trade Agreement (CETA) between Canada and the EU, Canada agrees "to protect 143 geographical indications for high-quality European products, such as Italian balsamic vinegar from Modena, Dutch Gouda cheese or Roquefort cheese and many others."[26]

United Kingdom edit

After Brexit the UK has its own Protected Geographical Indication scheme, independently of the EU one, but based on the same requirements. All existing EU geographic indications on 31 December 2020 are protected under UK law (as well as EU law), but this is not the case for designations registered after that date.[27][28]

List of products with PDO/PGI/TSG classifications edit

A database of agricultural products with a European Union Protected Designation of Origin (PDO), Protected Geographical Indication (PGI), or Traditional Specialities Guaranteed (TSG), is at the European Agriculture site.[29]

Note that the database contains both approved designations (status "Registered") and designations not yet approved (status "Applied" or "Published").

Criticisms of Protected Geographical Status framework edit

Somewhat paradoxically the PGS framework can be posited as both a protectionist move against global agro-economic policy, and a market-based neoliberal tool of agricultural governance. This makes it an equally important battle-ground for both the anti-globalization movement, and the free-trade proponents of Australia and the United States, and a number of criticisms of each have been put forward:

Issues of governance edit

  • Conceding the market as the locus of regulation.[30] Common Agricultural Policy (CAP) reforms have slowly introduced a raft of market-based instruments (MBIs) to regulate the agro-food sector (the PGS framework is one of them). The market is seen as the ideal 'arms-length' mechanism with which to foster growth, re-balance imperfections in the connected industries and add previously uncalculated value to European produce. But their social and ecological protections are perpetually unequal, falling short of providing any instance of a Polanyian 'double-movement'.[31] That is, generating a societal reaction to the 'dehumanizing' effects of the self-regulating market.
  • Creating markets where none previously existed.[30] By creating so-called 'ethical food markets',[32] food producers have been able to command a greater price for their goods. The PDO/PGI regimes foster the creation of ethical food markets, predicated on 'local' produce. For example, traditional Grimsby smoked fish producers have seen PGI accreditation 'help keep the margins up', in difficult economic circumstances.[33] In these instances, the 'local' is valorised as inherently 'good' or at least better than produce from an unrestricted, globalised food market.[34][35]
  • Providing barriers to entry. The drawing of boundaries around certain food and drink produce prevents other actors entering particular markets. On this point the PGS framework can potentially deny (or make extremely difficult) entry into the agro-food sector. For example, there are stringent geographical, productive, facilitative, planning, temporal and skilled constraints to entry into the Stilton cheese market in the UK.[36] The successful application to protect the Cornish pasty[37] is another recent example; with Ginsters of Cornwall central to the bid (itself owned by the 'extra-local', Leicestershire-based Samworth Brothers – also makers of fellow PGS protected Melton Mowbray Pork Pies).[38][39]
  • Narrowing competition in existing markets. Where markets already exist, there is the propensity for the narrowing of competition, if certain PGS applications are accepted. The state – instead of absolving all responsibility (often thought of as occurring in a neoliberal economy) – is tied with the task of carefully controlling the market. Product price fixing, supermarket consolidation, labour control, and profit-channelling are all potential issues. Within the UK, the Competition Commission is charged with investigating regulatory powers vis-à-vis markets and company mergers, to prevent (or at least temper) such problems.[citation needed]
  • Geographically fixing capital. Due to the nature of the PGS framework, capital is concentrated in particular areas. As rights are not directly transferable, PGI/PDO certification is granted to those with landed property rights. Monopolised (and thus higher) land rents can often result; to the detriment of those who rely on such lands.[citation needed]
  • Devolving power to consumers. Some proponents[40] have suggested that ethical food markets – and the PGS framework directly – has furthered a 'cash till' form of political democracy, whereby consumer spending power can masquerade as a legitimate governance structure and mechanism (i.e. democratically voted, representative, and therefore accountable). This is part of a broader shift from forms of 'government' to 'governance' seen in a neoliberalizing world, where a raft of non-state actors, arguably, make informed decisions about where and what to purchase.

Other Criticisms edit

The U.S. and Australia have disagreed with the EU's characterization of Geographical Indications. They disagree with the idea that Geographical Indications "eliminate the unfair competition and misleading of consumers," but rather that many of these names have become generic, and do not reflect a reputation of a distinctive product originating in a certain region.[41] They also believe that the EU is monopolizing markets and not allowing for fair competition. As the EU continues to enter trade agreements with third-party countries, often they will force these countries to agree to their list of Geographical Indications as a condition of the trade agreement, eliminating competition by the U.S. or Australia that may already be operating in the country.[42]

See also edit

References edit

  1. ^ "Geographical indications and traditional specialities". Europa (web portal).
  2. ^ "EUR-Lex – 32012R1151 – EN – EUR-Lex".
  3. ^ a b O'Connor and Company (April 2005). . Agritrade. Archived from the original on 2 May 2007.
  4. ^ Johnson, Renée. "Geographical Indications (GIs) in U.S. Food and Agricultural Trade" (PDF). Congressional Research Service. Retrieved 6 November 2019.
  5. ^ . fcba.ie. Archived from the original on 28 January 2015. Retrieved 25 January 2015.
  6. ^ "European Commission PDO database". Retrieved 1 June 2010.
  7. ^ Union, Publications Office of the European (8 November 2011). Do the design and management of the geographical indications scheme allow it to be effective?. Special Report No 11, 2011. ISBN 9789292372675. Retrieved 6 November 2019. {{cite book}}: |website= ignored (help)
  8. ^ "Denomination information – West Country farmhouse Cheddar cheese". DOOR. European Commission. Retrieved 9 January 2010.
  9. ^ a b c "Regulation (EU) No 1151/2012 of the European Parliament and of the Council of 21 November 2012 on quality schemes for agricultural products and foodstuffs". European Union. 14 December 2012. Retrieved 14 November 2021.
  10. ^ "Geographical indications and traditional specialities". European Commission.
  11. ^ Tosato, Andrea (2013). "The Protection of Traditional Foods in the EU: Traditional Specialities Guaranteed". European Law Journal. 19 (4): 545–576. doi:10.1111/eulj.12040. S2CID 154449313.
  12. ^ "eAmbrozia-TSG". EU.
  13. ^ "EUR-Lex – 32008R0110 – EN – EUR-Lex".
  14. ^ The 2008 Regulation is being replaced by Regulation (EU) 2019/787.
  15. ^ "EUR-Lex – 32014R0251 – EN – EUR-Lex".
  16. ^ "Register ofgeographical designations of Aromatized drinks based on wine products" (PDF).
  17. ^ "Mozzarella di Bufala". american.edu.
  18. ^ . EU Protected Food Names Schemes. DEFRA. 21 December 2006. Archived from the original on 12 March 2007. Retrieved 10 March 2007.
  19. ^ "Commission Regulation (EC) No 952/2007 of 9 August 2007 cancelling a registration of a name in the Register of protected designations of origin and protected geographical indications (Newcastle Brown Ale (PGI))". Official Journal. European Commission. 9 August 2007. Retrieved 9 November 2007.
  20. ^ Cassidy, Martin (25 January 2012). "Comber spuds get European protected status". Retrieved 5 September 2016.
  21. ^ (in Spanish). Terra.es. 13 August 2007. Archived from the original on 8 May 2008. Retrieved 22 April 2008.
  22. ^ . Government of China. Archived from the original on 29 March 2019. Retrieved 20 April 2019.
  23. ^ "[National Geographical Indication Products] Yongfeng Chili Sauce". HunanGov. Retrieved 20 April 2019.
  24. ^ Qiao, Ziyu. "In Pics: Chili Sauce Made in Yongfeng Town, C China's Hunan". All-China Women's Federation. Retrieved 20 April 2019.
  25. ^ "European Commission – PRESS RELEASES – Press release – Fischler hails signature of wine and spirits accord as "great achievement for EC-Canada trade relations"". Europa (web portal).
  26. ^ "Proposal for a COUNCIL DECISION on the conclusion of the Comprehensive Economic and Trade Agreement between Canada of the one part, and the European Union and its Member States, of the other part". eur-lex.europa.eu. EUROPEAN COMMISSION. 7 May 2016. Retrieved 13 August 2016.
  27. ^ "Protected geographical food and drink names: UK GI schemes". Gov UK. Retrieved 16 July 2021.
  28. ^ "Questions and Answers on the United Kingdom's withdrawal from the European Union on 31 January 2020" (PDF). European Commission. Retrieved 16 August 2021.
  29. ^ "EU agricultural product quality policy". Europa (web portal).
  30. ^ a b Guthman, Julie (31 May 2007). "The Polanyian Way? Voluntary Food Labels as Neoliberal Governance". Antipode. 39 (3): 456–478 (23). doi:10.1111/j.1467-8330.2007.00535.x.
  31. ^ MacIver, Karl Polanyi ; foreword by Robert M. (1957). The great transformation (1st Beacon paperback ed.). Boston: Beacon Press. p. 304. ISBN 978-0-8070-5679-0.{{cite book}}: CS1 maint: multiple names: authors list (link)
  32. ^ Lang, Tim (1 January 2010). . Environment and Planning A. 42 (8): 1814–1832. doi:10.1068/a4258. S2CID 144132777. Archived from the original on 19 July 2011. Retrieved 3 April 2011.
  33. ^ Grimsby, this is. "Dish of the decade enjoys steady start". Grimsby Telegraph. Archived from the original on 12 September 2012. Retrieved 6 April 2011.
  34. ^ Guthman, Julie (1 January 2003). "Fast food/organic food: Reflexive tastes and the making of 'yuppie chow'". Social & Cultural Geography. 4 (1): 45–58. doi:10.1080/1464936032000049306. S2CID 18808708.
  35. ^ Goodman, Michael K; Maye, Damian; Holloway, Lewis (1 January 2010). . Environment and Planning A. 42 (8): 1782–1796. doi:10.1068/a43290. S2CID 143711956. Archived from the original on 19 July 2011. Retrieved 3 April 2011.
  36. ^ Commission, Competition. "Long Clawson Dairy Limited/Millway merger inquiry" (PDF). Stilton Cheese merger. Competition Commission. Retrieved 3 April 2011.
  37. ^ "Who, What, Why: What exactly is a Cornish pasty?". BBC. 23 February 2011. Retrieved 3 April 2011.
  38. ^ Brothers Limited, Samworth. . Samworth Brothers Limited. Archived from the original on 7 September 2011. Retrieved 3 April 2011.
  39. ^ Brothers Limited, Samworth. . Samworth Brothers Limited. Archived from the original on 12 February 2011. Retrieved 3 April 2011.
  40. ^ Seyfang, Gill (31 March 2005). "Shopping for Sustainability: Can Sustainable Consumption Promote Ecological Citizenship?". Environmental Politics. 14 (2): 290–306. doi:10.1080/09644010500055209. S2CID 154574254.
  41. ^ "Geographical Indications (GIs) in U.S. Agricultural Trade" (PDF). Congressional Research Service. 21 July 2016. Retrieved 6 November 2019.
  42. ^ "Reign of Terroir: How to Resist Europe's Efforts to Control Common Food Names as Geographical Indications". Cato Institute. 16 February 2016. Retrieved 6 November 2019.

External links edit

  • EU Food Quality website with access to PDO/PGI/TSG listings, europa.eu
  • European Court of Auditors, special report 11/2011 17 November 2011 at the Wayback Machine, eca.europa.eu
  • – EU Protected Food Names Scheme. defra.gov.uk
  • Australian Wine and Brandy Corporation, awbc.com.au
  • Monopolising Names? The Protection of Geographical Indications in the European Community 18 September 2018 at the Wayback Machine, ethesis.helsinki.fi

geographical, indications, traditional, specialities, european, union, three, european, union, schemes, geographical, indications, traditional, specialties, known, protected, designation, origin, protected, geographical, indication, traditional, speciality, gu. Three European Union schemes of geographical indications and traditional specialties known as protected designation of origin PDO protected geographical indication PGI and traditional speciality guaranteed TSG promote and protect names of agricultural products and foodstuffs 1 Products registered under one of the three schemes may be marked with the logo for that scheme to help identify those products The schemes are based on the legal framework provided by the EU Regulation No 1151 2012 of the European Parliament and of the Council of 21 November 2012 on quality schemes for agricultural products and foodstuffs 2 This regulation applies within the EU as well as in Northern Ireland Protection of the registered products is gradually expanded internationally via bilateral agreements between the EU and non EU countries It ensures that only products genuinely originating in that region are allowed to be identified as such in commerce The legislation first came into force in 1992 The purpose of the law is to protect the reputation of the regional foods promote rural and agricultural activity help producers obtain a premium price for their authentic products and eliminate the unfair competition and misleading of consumers by non genuine products 3 which may be of inferior quality or of different flavour Critics argue that many of the names sought for protection by the EU have become commonplace in trade and should not be protected 4 European Union protected geographical indication PGI logoThese regulations protect the names of wines cheeses hams sausages seafood olives olive oils beers balsamic vinegar regional breads fruits raw meats and vegetables Based on these regulations within the EU and certain jurisdictions outside the EU food such as gorgonzola Parmigiano Reggiano feta the Waterford blaas 5 Herve cheese Melton Mowbray pork pies Piave cheese Asiago cheese camembert Herefordshire cider cognac armagnac and champagne can only be labelled as such if they come from the designated region To qualify as roquefort for example cheese must be made from milk of a certain breed of sheep and matured in the natural caves near the town of Roquefort sur Soulzon in the Aveyron region of France where it is colonised by the fungus Penicillium roqueforti that grows in these caves 6 This system is similar to national appellation systems used throughout Europe such as the appellation d origine controlee AOC used in France the denominazione di origine controllata DOC used in Italy the denominacao de origem controlada DOC used in Portugal the denumire de origine controlată DOC system used in Romania and the denominacion de origen DO system used in Spain In many cases the EU PDO PGI system works parallel with the system used in the specified country In some cases it is subordinated to the appellation system that was previously instituted particularly with wine for example and in France in particular with cheese where for example Maroilles has both PDO appellation d origine protegee AOP in French and AOC classifications but generally only the AOC classification will be shown Contents 1 Protection and enforcement 2 Objectives of the protection 3 General regime 4 Description of the regimes 4 1 Protected designation of origin PDO 4 2 Protected geographical indication PGI 4 3 Traditional specialities guaranteed TSG 5 Relationship to trademark law 6 Special regimes 6 1 Wines 6 2 Spirits 6 3 Aromatised drinks 7 Within the European Union 8 Outside the European Union 8 1 Australia 8 2 China 8 3 Canada 8 4 United Kingdom 9 List of products with PDO PGI TSG classifications 10 Criticisms of Protected Geographical Status framework 10 1 Issues of governance 10 2 Other Criticisms 11 See also 12 References 13 External linksProtection and enforcement editIn countries where laws on protected geographical status are enforced only products which meet the various geographical and quality criteria may use the protected indication It is also prohibited to combine the indication with words such as style type imitation or method in connection with the protected indications or to do anything which might imply that the product meets the specifications such as using distinctive packaging associated with the protected product citation needed Protected indications are treated as intellectual property rights by the Customs Regulation 1383 2003 Regulation concerning customs action against goods suspected of infringing certain intellectual property rights and the measures to be taken against goods found to have infringed such rights 1 and infringing goods may be seized by customs on import Within the European Union enforcement measures vary infringement may be treated as counterfeit misleading advertising passing off or even as a question of public health Outside Europe the protection of PGS products usually require bilateral agreements between the EU and the importing countries while protected indications may not always supersede other intellectual property rights such as trademarks citation needed On 15 November 2011 the European Court of Auditors presented its report Do the design and management of the geographical indications scheme allow it to be effective 7 to the European Parliament citation needed Objectives of the protection editThis section does not cite any sources Please help improve this section by adding citations to reliable sources Unsourced material may be challenged and removed February 2021 Learn how and when to remove this template message The preambles to the regulations cite consumer demand for quality foodstuffs and identify a number of goals for the protection regimes the promotion of products with specific characteristics particularly those coming from less favoured or rural areas the improvement of the income of farmers in return for a genuine effort to improve quality the retention of population in rural areas the provision of clear and succinct information to consumers regarding product origin The provision of a recompense for efforts to improve quality and the need for consumer protection are often cited as justifications for trade mark protection in other domains and geographical indications operate in a similar manner to trademarks General regime editThe general regime governs the use of protected designations of origin PDO and protected geographical indications PGI for food and certain other agricultural products There are separate regimes for spirits and for aromatised drinks geographical designations as well as for wines geographical indications often referred to as appellations The origin of the product is only one of the criteria for use of the protected terms the product must also meet various quality criteria The label Traditional Specialities Guaranteed TSG is a similar protected term which does not impose any restrictions on the geographical origin of the product citation needed The protection of geographical indications was extended to foodstuffs and other agricultural products in 1992 2 Given the widely different national provisions this general regime gives much more power to the European Commission compared to the special regimes to ensure a harmonised protection across the European Union It is currently governed by the Regulation on the protection of geographical indications and designations of origin for agricultural products and foodstuffs No 510 2006 3 To qualify for a PDO the product must have qualities and characteristics which are essentially due to its region of production it must also be produced processed and prepared exclusively within that region The requirement for a PGI are slightly less strict a good reputation of a product from a given region is sufficient rather than objectively different characteristics if any of the steps of production processing and preparation may take place within the region Otherwise the protection afforded by the two terms is equivalent citation needed An application for a PDO or a PGI is first made to the authorities of the relevant Member State It is judged by the Member State against the criteria in the Regulation and if found to be acceptable forwarded to the European Commission for final approval Applications are published at both the national and Community stages of examination and third parties can object to proposed PDOs or PGIs which they feel would harm their business A recurrent objection is that the proposed denomination is a generic term for the product in question generic names cannot be registered but once registered the denominations are protected from genericisation Hence Cheddar cheese was deemed to be a generic name but the PDO West Country farmhouse Cheddar cheese was allowed 8 Feta was deemed not to have become generic and was registered as a PDO to the disappointment of cheesemakers outside of Greece citation needed Description of the regimes editProtected designation of origin PDO edit Main article Protected designation of origin The Protected designation of origin is the name of an area a specific place or in exceptional cases the name of a country used as a designation for an agricultural product or a foodstuff 9 which comes from such an area place or country whose quality or properties are significantly or exclusively determined by the geographical environment including natural and human factors whose production processing and preparation takes place within the determined geographical area In other words to receive the PDO status the entire product must be traditionally and entirely manufactured prepared processed and produced within the specific region and thus acquire unique properties Protected geographical indication PGI edit The protected geographical indication is the name of an area a specific place or in exceptional cases the name of a country used as a description of an agricultural product or a foodstuff 9 which comes from such an area place or country which has a specific quality goodwill or other characteristic property attributable to its geographical origin at least one of the stages of production processing or preparation takes place in the area 10 In other words to receive the PGI status the entire product must be traditionally and at least partially manufactured prepared processed or produced within the specific region and thus acquire unique properties Traditional specialities guaranteed TSG edit Main article Traditional Speciality Guaranteed The TSG quality scheme aims to provide a protection regime for traditional food products of specific character Differing from PDO and PGI this quality scheme does not certify that the protected food product has a link to specific geographical area and a product can thus be produced outside the area or country from which it originates To qualify for a TSG a food must be of specific character and either its raw materials production method or processing must be traditional Under Art 3 of Regulation 1151 12 specific character is defined as the characteristic production attributes which distinguish a product clearly from other similar products of the same category Under Art 3 of Regulation 1151 12 traditional is defined as proven usage on the domestic market for a period that allows transmission between generations this period is to be at least 30 years 9 For a food name to be registrable under the TSG scheme it must a have been traditionally used to refer to the specific product or b identify the traditional character or specific character of the product A TSG creates an exclusive right over the registered product name Accordingly the registered product name can be used by only those producers who conform to the registered production method and product specifications The legal function of the TSG is to certify that a particular agricultural product objectively possesses specific characteristics which differentiate it from all others in its category and that its raw materials composition or method of production have been consistent for a minimum of 30 years Thus TSG food denominations are registered trade signs with a distinctive function 11 As of 14 November 2021 65 TSG have been registered see list all of which originate from the EU or the UK 12 Relationship to trademark law editIn principle a similar protection to a geographical indication could be obtained through a collective trademark Indications which serve exclusively to identify the place of origin of goods are not registrable as trademarks under Art 6quinquies B 2 of the Paris Convention for the Protection of Industrial Property Paris Convention which has effect in European Union law by Art 7 of the Regulation on the Community trade mark No 40 94 4 and by Art 3 of the Directive to approximate the laws of the Member States relating to trademarks 89 104 EEC 5 however marks which also serve to identify the quality of a product originating in a certain region may be registered so long as they have not become generic in the trade concerned citation needed Trademarks which have been registered before the registration of a PDO or a PGI may continue to be used but the registration of an equivalent trademark after the approval of a PDO or PGI is impossible Art 13 Regulation EC No 510 2006 The existence of a trademark registered or unregistered may be a reason to refuse the registration of a PDO or a PGI Art 7 3 c Regulation EC No 510 2006 Hence the Polish geographical designation Herbal vodka from the North Podlasie Lowland aromatised with an extract of bison grass Polish Wodka ziolowa z Niziny Polnocnopodlaskiej aromatyzowana ekstraktem z trawy zubrowej so phrased as to avoid infringing the trademark Zubrowka citation needed Special regimes editThe protection of geographical indications for wines and other alcoholic drinks was historically the first to be developed at both national and Community level It is also the only protection which is recognised by the Agreement on Trade Related Aspects of Intellectual Property Rights TRIPS administered by the World Trade Organization although the European Union is pushing for other geographical indications to be included in the Doha Round of world trade negotiations Wines edit European Union rules governing the production of wine the product obtained exclusively from the total or partial alcoholic fermentation of fresh grapes whether or not crushed or of grape must are considerably longer than EU trade mark law the main text the Regulation on the common organisation of the market in wine No 1493 1999 6 runs to over 46 000 words To be considered as a quality wine the wine must come from a specified region and be associated with a geographical indication or appellation indeed the technical term used in the Regulation is quality wine psr with the psr standing for produced in a specified region Wines which do not meet this requirement may only be marketed as table wine There has been little harmonisation of national provisions within the European Union Member States delimit the specified areas of production and determine the rules and appellations which apply the European Commission restricts itself to publishing the information provided by the Member States Appellations are usually the geographical name of the area in which the wine is produced although there are some historical exceptions muscadet and blanquette in France cava and manzanilla in Spain and vinho verde in Portugal The appellations are not necessarily unique Cava may refer either to a quality sparkling wine psr produced in Spain or to a Greek table wine which has been aged as a transliteration of Kaba Spirits edit The Regulation laying down general rules on the definition description presentation labelling and protection of spirit drinks 110 2008 13 14 provides for a double system of protection of spirit descriptions Spirits are divided into 46 categories which each have rules for fabrication and minimum strength Within these categories certain names are reserved for drinks from particular countries for example ouzo which is aniseed flavoured spirit drink which must have been produced exclusively in Greece or Cyprus or grappa which is a grape marc spirit produced in Italy or palinka which is a purely fruit based spirit produced in Hungary or parts of Austria for apricot spirits only The Regulation also defines a number of geographical designations which are reserved for drinks which acquired their character and definitive qualities in the area denominated The exact delimitation of the areas and any other regulations are left to the Member States concerned By way of derogation the designations Konigsberger Barenfang and Ostpreussischer Barenfang are permitted for certain German drinks even though they refer to Konigsberg Kaliningrad and East Prussia which are no longer part of Germany Aromatised drinks edit nbsp VermouthThe Regulation laying down general rules on the definition description and presentation of aromatised wines aromatised wine based drinks and aromatised wine product cocktails No 251 2014 15 institutes a system of protected denominations for aromatised drinks which is very similar to that for spirits The association of general names with specific countries is weaker a drink labelled simply Sangria must have been produced in Spain or Portugal for example but it is permissible to label a drink Sangria produced in the United Kingdom aromatised wine based drink if the drink meets the other requirements to be described as sangria Similarly the denomination Clarea on its own is reserved for drinks produced in Spain As of January 2020 the protected geographical designations are 16 Vermouth di Torino vermouth original 1757 Italy Nurnberger Gluhwein Germany Thuringer Gluhwein Vermouth de Chambery France Samoborski bermetWithin the European Union editArticle 13 of this legislation states that registered designations are protected against any usurpation or imitation even if the true origin of the product is indicated or if the appellation is used in translated form or accompanied by terms such as kind type This legislation expanded the 1951 Stresa Convention which was the first international agreement on cheese names Seven countries participated Austria Denmark France Italy Norway Sweden and Switzerland nbsp Stilton an example of an origin protected productSelected products include Prosciutto Toscano PDO from Italy bryndza podhalanska PDO and oscypek PDO from Poland Marchfeldspargel PGI from Austria Lubecker Marzipan PGI from Germany Scotch Beef and Lamb PGI from Scotland bryndza PGI and Ostiepok PGI from Slovakia Kaszebsko malena Kashubian garden strawberry PGI from Poland citation needed nbsp A PDO appleIn certain cases the name of widely popular products became generic and therefore could not be protected afterwards Cheddar cheese for instance originating in the English village of Cheddar is produced in many countries including the US Canada Australia and New Zealand Hence the Cheddar name is not protected but the more specific name West Country Farmhouse Cheddar is Other products are protected in Europe but not elsewhere Buffalo Mozzarella for instance is protected in Europe but the name is used without restrictions by US dairy companies 17 The geographical limitations are strict Newcastle Brown Ale was restricted to being brewed in the city of Newcastle upon Tyne in England However having obtained this protection for their product the brewery decided in 2004 that it would move across the river Tyne to Gateshead As Gateshead is a separate town albeit only the width of the river apart it does not fall within the required geographical restriction The brewery then applied to the European Union authorities to have the geographical restriction revoked If the restriction had not been revoked the brewery would have been forced either to move back to Newcastle or stop calling its beer Newcastle brown ale 18 Ultimately the brewery s application to revoke the geographic restriction was approved 19 Similarly Stilton cheese can only be produced in the three English counties of Derbyshire Leicestershire and Nottinghamshire Stilton village is in the traditional county of Huntingdonshire now a district of Cambridgeshire so Stilton cheese cannot be produced in Stilton although it is unclear whether the cheese was ever produced there Quenby Hall in Leicestershire claims to be the first producer citation needed New Season Comber Potatoes or Comber Earlies were awarded PGI status in 2012 Only immature potatoes grown in the restricted geographical area surrounding the town of Comber in Northern Ireland harvested between the start of May and the end of July can be marketed as Comber Earlies 20 Outside the European Union editThere is no automatic protection for these names on products both made and sold outside the EU except for Northern Ireland where the relevant regulation applies However there are a number of bilateral agreements with the EU for some level of enforcement Agreements of this type exist between the EU and Australia wine 1994 but not cheese Canada wine and spirits 2003 China Chile wine and spirits 2002 Colombia 2007 coffee Mexico 1997 spirit drinks and South Africa 2002 wine and spirits 3 Besides dedicated agreements on geographical indications mutual recognition of geographical indications is part of free trade agreements such as Association Agreements e g with Armenia Ukraine and Moldova Geographical indications are following an objection period where GIs can be refused furthermore protected in the member states of the 2015 Geneva act to the Lisbon Agreement for the Protection of Appellations of Origin and their International Registration to which apart from the EU and some of its member states also Albania Cambodia Samoa Laos and North Korea are parties However as of August 2021 the EU has not submitted any Geographical Indications for registration As the Geographic indication scheme of the EU is not limited to products from EU locations also products from outside the EU have received the designation For example Colombian coffee was protected by the PDO in August 2007 21 Australia edit Following an agreement during the 1990s by the Australian Wine and Brandy Corporation and the Australian and EU governments the others GIs and the nations traditional terms of winemaking were meant to have been protected by 1997 However this has been proceeding slowly and while some GIs have been protected in Australia others are still available for use primarily for products that have always been called that It seems unlikely it will have any effect on colloquial speech in the short term citation needed China edit This section needs to be updated The reason given is Landmark agreement will protect 100 European Geographical Indications in China Please help update this article to reflect recent events or newly available information July 2020 China recognizes Geographical Indication Products One such product is Yongfeng chili sauce Chinese 永丰辣酱 also called Yongfeng hot sauce 22 23 24 Canada edit In Canada a 2003 agreement made with the EU provides for protection of the names of wine and spirits 25 Under the Comprehensive Economic and Trade Agreement CETA between Canada and the EU Canada agrees to protect 143 geographical indications for high quality European products such as Italian balsamic vinegar from Modena Dutch Gouda cheese or Roquefort cheese and many others 26 United Kingdom edit Further information List of United Kingdom food and drink products with protected status After Brexit the UK has its own Protected Geographical Indication scheme independently of the EU one but based on the same requirements All existing EU geographic indications on 31 December 2020 are protected under UK law as well as EU law but this is not the case for designations registered after that date 27 28 List of products with PDO PGI TSG classifications editSee also Category Products with protected designation of origin A database of agricultural products with a European Union Protected Designation of Origin PDO Protected Geographical Indication PGI or Traditional Specialities Guaranteed TSG is at the European Agriculture site 29 Note that the database contains both approved designations status Registered and designations not yet approved status Applied or Published Criticisms of Protected Geographical Status framework editSomewhat paradoxically the PGS framework can be posited as both a protectionist move against global agro economic policy and a market based neoliberal tool of agricultural governance This makes it an equally important battle ground for both the anti globalization movement and the free trade proponents of Australia and the United States and a number of criticisms of each have been put forward Issues of governance edit Conceding the market as the locus of regulation 30 Common Agricultural Policy CAP reforms have slowly introduced a raft of market based instruments MBIs to regulate the agro food sector the PGS framework is one of them The market is seen as the ideal arms length mechanism with which to foster growth re balance imperfections in the connected industries and add previously uncalculated value to European produce But their social and ecological protections are perpetually unequal falling short of providing any instance of a Polanyian double movement 31 That is generating a societal reaction to the dehumanizing effects of the self regulating market Creating markets where none previously existed 30 By creating so called ethical food markets 32 food producers have been able to command a greater price for their goods The PDO PGI regimes foster the creation of ethical food markets predicated on local produce For example traditional Grimsby smoked fish producers have seen PGI accreditation help keep the margins up in difficult economic circumstances 33 In these instances the local is valorised as inherently good or at least better than produce from an unrestricted globalised food market 34 35 Providing barriers to entry The drawing of boundaries around certain food and drink produce prevents other actors entering particular markets On this point the PGS framework can potentially deny or make extremely difficult entry into the agro food sector For example there are stringent geographical productive facilitative planning temporal and skilled constraints to entry into the Stilton cheese market in the UK 36 The successful application to protect the Cornish pasty 37 is another recent example with Ginsters of Cornwall central to the bid itself owned by the extra local Leicestershire based Samworth Brothers also makers of fellow PGS protected Melton Mowbray Pork Pies 38 39 Narrowing competition in existing markets Where markets already exist there is the propensity for the narrowing of competition if certain PGS applications are accepted The state instead of absolving all responsibility often thought of as occurring in a neoliberal economy is tied with the task of carefully controlling the market Product price fixing supermarket consolidation labour control and profit channelling are all potential issues Within the UK the Competition Commission is charged with investigating regulatory powers vis a vis markets and company mergers to prevent or at least temper such problems citation needed Geographically fixing capital Due to the nature of the PGS framework capital is concentrated in particular areas As rights are not directly transferable PGI PDO certification is granted to those with landed property rights Monopolised and thus higher land rents can often result to the detriment of those who rely on such lands citation needed Devolving power to consumers Some proponents 40 have suggested that ethical food markets and the PGS framework directly has furthered a cash till form of political democracy whereby consumer spending power can masquerade as a legitimate governance structure and mechanism i e democratically voted representative and therefore accountable This is part of a broader shift from forms of government to governance seen in a neoliberalizing world where a raft of non state actors arguably make informed decisions about where and what to purchase Other Criticisms edit The U S and Australia have disagreed with the EU s characterization of Geographical Indications They disagree with the idea that Geographical Indications eliminate the unfair competition and misleading of consumers but rather that many of these names have become generic and do not reflect a reputation of a distinctive product originating in a certain region 41 They also believe that the EU is monopolizing markets and not allowing for fair competition As the EU continues to enter trade agreements with third party countries often they will force these countries to agree to their list of Geographical Indications as a condition of the trade agreement eliminating competition by the U S or Australia that may already be operating in the country 42 See also edit nbsp Food portal nbsp European Union portal nbsp World portalAppellation Country of origin European Union Common Agricultural Policy Generic trademark Geographical indication List of PDO products by country List of TSG products by country List of geographical designations for spirit drinks in the European Union List of European cheeses with protected geographical status List of Italian products with protected designation of origin List of Portugal food and drink products with protected status List of Republic of Ireland food and drink products with protected status List of United Kingdom food and drink products with protected status Protectionism Quality Wines Produced in Specified Regions QWPSR TerroirReferences edit Geographical indications and traditional specialities Europa web portal EUR Lex 32012R1151 EN EUR Lex a b O Connor and Company April 2005 Geographical Indications and the challenges for ACP countries Agritrade Archived from the original on 2 May 2007 Johnson Renee Geographical Indications GIs in U S Food and Agricultural Trade PDF Congressional Research Service Retrieved 6 November 2019 Blaa makes its presence felt in Europe fcba ie Archived from the original on 28 January 2015 Retrieved 25 January 2015 European Commission PDO database Retrieved 1 June 2010 Union Publications Office of the European 8 November 2011 Do the design and management of the geographical indications scheme allow it to be effective Special Report No 11 2011 ISBN 9789292372675 Retrieved 6 November 2019 a href Template Cite book html title Template Cite book cite book a website ignored help Denomination information West Country farmhouse Cheddar cheese DOOR European Commission Retrieved 9 January 2010 a b c Regulation EU No 1151 2012 of the European Parliament and of the Council of 21 November 2012 on quality schemes for agricultural products and foodstuffs European Union 14 December 2012 Retrieved 14 November 2021 Geographical indications and traditional specialities European Commission Tosato Andrea 2013 The Protection of Traditional Foods in the EU Traditional Specialities Guaranteed European Law Journal 19 4 545 576 doi 10 1111 eulj 12040 S2CID 154449313 eAmbrozia TSG EU EUR Lex 32008R0110 EN EUR Lex The 2008 Regulation is being replaced by Regulation EU 2019 787 EUR Lex 32014R0251 EN EUR Lex Register ofgeographical designations of Aromatized drinks based on wine products PDF Mozzarella di Bufala american edu National application No 02621 Newcastle Brown Ale EU Protected Food Names Schemes DEFRA 21 December 2006 Archived from the original on 12 March 2007 Retrieved 10 March 2007 Commission Regulation EC No 952 2007 of 9 August 2007 cancelling a registration of a name in the Register of protected designations of origin and protected geographical indications Newcastle Brown Ale PGI Official Journal European Commission 9 August 2007 Retrieved 9 November 2007 Cassidy Martin 25 January 2012 Comber spuds get European protected status Retrieved 5 September 2016 European Union gives to Cafe de Colombia the protected denomination of origin in Spanish Terra es 13 August 2007 Archived from the original on 8 May 2008 Retrieved 22 April 2008 Yongfeng hot sauce China Protected Geographical Indication Products Government of China Archived from the original on 29 March 2019 Retrieved 20 April 2019 National Geographical Indication Products Yongfeng Chili Sauce HunanGov Retrieved 20 April 2019 Qiao Ziyu In Pics Chili Sauce Made in Yongfeng Town C China s Hunan All China Women s Federation Retrieved 20 April 2019 European Commission PRESS RELEASES Press release Fischler hails signature of wine and spirits accord as great achievement for EC Canada trade relations Europa web portal Proposal for a COUNCIL DECISION on the conclusion of the Comprehensive Economic and Trade Agreement between Canada of the one part and the European Union and its Member States of the other part eur lex europa eu EUROPEAN COMMISSION 7 May 2016 Retrieved 13 August 2016 Protected geographical food and drink names UK GI schemes Gov UK Retrieved 16 July 2021 Questions and Answers on the United Kingdom s withdrawal from the European Union on 31 January 2020 PDF European Commission Retrieved 16 August 2021 EU agricultural product quality policy Europa web portal a b Guthman Julie 31 May 2007 The Polanyian Way Voluntary Food Labels as Neoliberal Governance Antipode 39 3 456 478 23 doi 10 1111 j 1467 8330 2007 00535 x MacIver Karl Polanyi foreword by Robert M 1957 The great transformation 1st Beacon paperback ed Boston Beacon Press p 304 ISBN 978 0 8070 5679 0 a href Template Cite book html title Template Cite book cite book a CS1 maint multiple names authors list link Lang Tim 1 January 2010 From value for money to values for money Ethical food and policy in Europe Environment and Planning A 42 8 1814 1832 doi 10 1068 a4258 S2CID 144132777 Archived from the original on 19 July 2011 Retrieved 3 April 2011 Grimsby this is Dish of the decade enjoys steady start Grimsby Telegraph Archived from the original on 12 September 2012 Retrieved 6 April 2011 Guthman Julie 1 January 2003 Fast food organic food Reflexive tastes and the making of yuppie chow Social amp Cultural Geography 4 1 45 58 doi 10 1080 1464936032000049306 S2CID 18808708 Goodman Michael K Maye Damian Holloway Lewis 1 January 2010 Ethical foodscapes premises promises and possibilities Environment and Planning A 42 8 1782 1796 doi 10 1068 a43290 S2CID 143711956 Archived from the original on 19 July 2011 Retrieved 3 April 2011 Commission Competition Long Clawson Dairy Limited Millway merger inquiry PDF Stilton Cheese merger Competition Commission Retrieved 3 April 2011 Who What Why What exactly is a Cornish pasty BBC 23 February 2011 Retrieved 3 April 2011 Brothers Limited Samworth Our Company Ginsters Samworth Brothers Limited Archived from the original on 7 September 2011 Retrieved 3 April 2011 Brothers Limited Samworth Our Company Dickinson amp Morris Samworth Brothers Limited Archived from the original on 12 February 2011 Retrieved 3 April 2011 Seyfang Gill 31 March 2005 Shopping for Sustainability Can Sustainable Consumption Promote Ecological Citizenship Environmental Politics 14 2 290 306 doi 10 1080 09644010500055209 S2CID 154574254 Geographical Indications GIs in U S Agricultural Trade PDF Congressional Research Service 21 July 2016 Retrieved 6 November 2019 Reign of Terroir How to Resist Europe s Efforts to Control Common Food Names as Geographical Indications Cato Institute 16 February 2016 Retrieved 6 November 2019 External links edit nbsp Wikimedia Commons has media related to Geographical indications and traditional specialities in the European Union EU Food Quality website with access to PDO PGI TSG listings europa eu European Court of Auditors special report 11 2011 Archived 17 November 2011 at the Wayback Machine eca europa eu Defra EU Protected Food Names Scheme defra gov uk Australian Wine and Brandy Corporation awbc com au Monopolising Names The Protection of Geographical Indications in the European Community Archived 18 September 2018 at the Wayback Machine ethesis helsinki fi Retrieved from https en wikipedia org w index php title Geographical indications and traditional specialities in the European Union amp oldid 1183956440, wikipedia, wiki, book, books, library,

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