Hungry For Change: Fixing The Failures in Food
Hungry For Change: Fixing The Failures in Food
Hungry For Change: Fixing The Failures in Food
HL Paper 85
Select Committee on Food, Poverty, Health and the Environment
The Select Committee on Food, Poverty, Health and the Environment was appointed by the
House of Lords on 13 June 2019 to “consider the links between inequality, public health and
food sustainability”.
Membership
The Members of the Select Committee on Food, Poverty, Health and the Environment were:
Lord Krebs (Chair) Baroness Redfern (resigned 8 January 2020)
Baroness Boycott Baroness Ritchie of Downpatrick
The Earl of Caithness (appointed 30 January 2020)
Lord Empey Lord Rooker (resigned 9 January 2020)
Baroness Janke Baroness Sanderson of Welton
Baroness Jay of Paddington (appointed 22 January 2020)
(resigned 9 September 2019) Baroness Sater
Baroness Osamor Lord Whitty
Baroness Parminter
Declarations of interests
See Appendix 1.
A full list of Members’ interests can be found in the Register of Lords’ Interests:
https://www.parliament.uk/mps-lords-and-offices/standards-and-financial-interests/house-of-
lords-commissioner-for-standards-/register-of-lords-interests/
Publications
All publications of the Committee are available at: https://committees.parliament.uk/
committee/408/food-poverty-health-and-environment-committee/publications/
Parliament Live
Live coverage of debates and public sessions of the Committee’s meetings are available at:
http://www.parliamentlive.tv
Further information
Further information about the House of Lords and its Committees, including guidance to
witnesses, details of current inquiries and forthcoming meetings is available at:
https://www.parliament.uk/business/lords/
Committee staff
The staff who worked on this inquiry were Beth Hooper (Clerk), Samantha Kenny (Policy
Analyst) and Rebecca Pickavance (Committee Assistant)
Contact details
All correspondence should be addressed to the Select Committee on Food, Poverty, Health and the
Environment, Committee Office, House of Lords, London SW1A 0PW. Telephone 020 7219 4878.
Email hlfoodpoverty@parliament.uk
CONTENTS
Page
Summary 4
Chapter 1: Introduction 11
The inquiry and the Committee’s work 13
Box 1: A note on definitions 15
Chapter 2: The current situation 17
The food system at a glance 17
Figure 1: Breakdown of Gross Value Added (GVA) per food
sector and employment figures per sector 18
Figure 2: UK Trade in different food groups, 2018 19
Figure 3: UK grocery market shares, 2017/18 21
Diet and health 21
Health inequalities 23
Figure 4: Life expectancy and healthy life expectancy by age,
sex and deprivation decile in England, 2016-18 24
Diet and food production 26
Current Government intervention 26
Childhood Obesity Plans 26
Agriculture Bill 27
National Food Strategy 28
The ‘real’ cost of food 28
Conclusions 29
Chapter 3: Poverty and food insecurity 30
Box 2: Experiences of food insecurity 31
Measurements of poverty 31
Figure 5: Number and proportion of adults and children in
relative and absolute poverty, before and after housing costs,
UK, 2018/19 34
COVID-19 and poverty 34
Food insecurity 35
Box 3: Experiences of food insecurity 37
COVID-19 and food insecurity 37
Measuring food insecurity 38
‘Food poverty’: a misnomer 41
Box 4: Experiences of food insecurity 43
Hunger and food banks 43
Box 5: Experiences of food insecurity 43
Universal Credit and hunger 44
People with no recourse to public funds 47
Difficulty accessing a healthy diet 48
Affordability of healthy diets 49
Figure 6: The 13 main categories of average weekly household
expenditure, UK, 2018/19 50
Figure 7: Average weekly household expenditure on the 33 main
categories of foods, UK, 2018/19 51
What is the cost of a healthy diet? 51
Figure 8: The Eatwell Guide 52
Risks and priorities 56
Practical barriers to accessing a healthy diet 57
‘Emotional bandwidth’ 58
Box 6: Why don’t people just make soup? 60
Chapter 4: The food environment 61
An in-built system failure 61
Experiences of the food environment 62
Measures to address the food environment 63
A critical consensus 64
Table 1: Progress of proposals in Chapter 2, Childhood Obesity:
a plan for action (July 2018) 65
Suggested interventions to improve the food environment 66
Government food programmes 67
The Healthy Start Scheme 67
Free school meals 70
Box 7: Experiences of food insecurity 71
Box 8: Experiences of food insecurity 74
Public procurement 83
The marketing and promotion of food 86
Fast food outlets 91
Box 9: Experiences of food insecurity 95
Labelling 95
Education and public health messaging 98
Chapter 5: Reformulation and regulation 103
Existing reformulation measures 104
Voluntary reformulation programmes 106
Salt reduction 106
Sugar reduction 109
Voluntary reformulation programmes: conclusions 110
Mandatory reformulation 110
The Industry View 112
Barriers to reformulation 112
Creating a level playing field 114
Portion sizes 115
The case for reformulation: conclusions 116
Chapter 6: Food and the natural environment 119
Impact of food production on the environment 120
Figure 9: Percentages of UK pollution from ammonia and
greenhouse gases derived from agriculture in 2017 122
What is a sustainable food system? 122
The Agriculture Bill 123
The case for a dietary shift 126
Food production and public health 128
Financial support for horticulture 129
Resilience and continuity of supply 131
Trade 132
Production efficiencies 135
Research and Development 135
Food industry reporting 138
Food waste 139
Chapter 7: Governance, accountability and food policy 142
Setting an ambition for the food system 143
National Food Strategy: England 144
Scotland 145
Wales 146
Monitoring and accountability 148
The ‘right to food’ 150
Co-ordination of food policy 152
Summary of conclusions and recommendations 157
Appendix 1: List of Members and declarations of interest 165
Appendix 2: List of witnesses 167
Appendix 3: Call for evidence 175
Appendix 4: Acronyms and abbreviations 177
Appendix 5: Experiences of food insecurity 179
Appendix 6: Leeds Visit 191
SUMMARY
The UK’s food system—the production, manufacture, retail and consumption
of food—is failing. Food should be a source of enjoyment, good health and
cultural expression, but there are stark contrasts in the way that people
experience the food system in this country. For many people, food is the source
of considerable anxiety. Significant numbers of people are unable to access the
food they need, let alone access a healthy diet. Billions of pounds are spent each
year by the National Health Service (NHS) treating significant, but avoidable,
levels of diet-related obesity and non-communicable disease. Although diet-
related ill health affects all sectors of the population, its effects are felt more
acutely in deprived areas, and considerable health inequalities persist. The food
industries, manufacturers, retailers and the food services sector, perpetuate the
demand for less healthy, highly processed products. This not only impacts on
public health, but also inhibits efforts to produce food in an environmentally
sustainable way. The health of the population, and the health of the planet, is at
risk. This report makes clear how this situation might be reversed.
The devastating impact of the COVID-19 crisis is likely to have lasting
consequences for the economy and for public health. The crisis has exposed
the fragility of many people’s economic situation and exacerbated many of the
problems relating to poverty, food insecurity and health inequalities that our
inquiry examined. The crisis should serve as an urgent wake up call to the
Government. People should be able to access not only enough food, but also the
food that they need to stay healthy; the food system, and action in related policy
areas such as health, welfare and food production, should guarantee this.
The Committee was set up to “consider the links between inequality, public
health and food sustainability.” We found barriers at all levels of the food system
that make it harder for people, particularly those living in poverty, to access a
healthy and sustainable diet. The lack of a unifying Government ambition or
strategy on food has prevented interrelated issues such as hunger, health and
sustainability from being considered in parallel, meaning that opportunities
have been missed to develop coherent policies that could effect widespread
change. Our recommendations are built around the central aim of ensuring
that everyone, regardless of income, has access to a healthy and sustainable diet.
Key recommendations
The Food and Agriculture Organization of the UN estimated that around 2.2
million people in the UK are severely food insecure (i.e. with limited access
to food, due to a lack of money or other resources).1 Until recently, however,
the Government has not collected data on this and so does not have an
accurate picture of the prevalence of food insecurity. Without a comprehensive
understanding of the scale of the problem, neither the root causes of food
insecurity, nor the detrimental impact it has on public health and wellbeing can
be fully evaluated or addressed. We have asked that the Government commits
to detailed and routine monitoring of the levels of food insecurity. That data
should be published transparently and be subject to scrutiny to ensure that
1 Food and Agriculture Organization of the United Nations, The State of Food Insecurity and Nutrition
in the World, Building Climate Resilience for Food Security and Nutrition (2018), p 138: http://www.
fao.org/3/I9553EN/i9553en.pdf [accessed 29 June 2020]. Definition of food insecurity from FAO,
IFAD, WFP and WHO, The State of Food Security and Nutrition in the World, (2017), p 96: http://
www.fao.org/3/a-i7695e.pdf [accessed 29 June 2020]
Hungry for change: fixing the failures in food 5
of their after-housing disposable income on food to meet the cost of the Eatwell
Guide compared to just 6% in the richest decile.”9 The Government should
know whether or not people can afford to adhere to its own dietary guidance. We
have therefore recommended that a fuller understanding of the cost of a healthy
diet should be reached, and factored into the calculation of benefit rates. This
cost should also act as a reference point to inform other policy interventions,
including those relating to welfare and public food provision.
Highly processed foods—those that contain high levels of energy, unhealthy
types of fat, salt or highly refined carbohydrates such as sugar10—are produced
in abundance in this country. These products are then aggressively marketed
and promoted to the consumer. Highly processed food products are also more
likely to be on promotion, making them appealing to those on a tight budget.11
Manufacturing, retail and the food service sector, has a central role in this. As
a consequence, a high proportion of both adults and children’s dietary energy
comes from processed food12 with the UK consuming more processed products
than any other European country.13 The less healthy choice has become the
easier, cheaper choice for the consumer but this is inflicting profound costs on
public health and the NHS.
The Government is fully aware of the need to reduce the prevalence and
consumption of less healthy food and has, to date, introduced a range of policies
and proposals aimed at improving the food environment, including numerous
measures outlined in the three chapters of the Childhood Obesity Plan. Despite
this, obesity rates continue to rise.14 There is no excuse for the Government not
to re-double its efforts in these areas. Many Government proposals to impose
restrictions on the marketing, advertising and price promotion of less healthy
foods have so far failed to progress beyond consultation stage. We have urged
the Government to publish the results of these consultations so that policies can
finally be developed and enacted to conclusively tackle the factors in the food
environment that make the less healthy choice so readily available.
We also have recommended that the Government step up its efforts to encourage
the food industry to reformulate its products to reduce harmful levels of salt, sugar
and unhealthy types of fats. Both the salt and sugar reduction programmes are
likely to fail to achieve their stated targets so the Government must increase and
maintain the pressure on industry to act. Industry progress against voluntary
reformulation targets should be subject to transparent and regular monitoring,
to highlight where successes and failures occur. Crucially, the Government
should make clear what regulatory action will follow if the industry does not
respond comprehensively and swiftly to voluntary targets. Mandatory (fiscal)
approaches can work, as evidenced by the Soft Drinks Industry Levy. As there
is a proven mechanism for delivering successful reductions in ingredients that
may be associated with poor health outcomes in a way which has not had a
9 Written evidence from the Food Foundation, London School of Hygiene and Tropical Medicine
and Sustainable and Healthy Food Systems (SHEFS) (ZFP0073)
10 And low levels of fruits, vegetables, whole grains, nuts or seeds
11 Written evidence from the Food Foundation, London School of Hygiene and Tropical Medicine
and Sustainable and Healthy Food Systems (SHEFS) (ZFP0073)
12 Ibid
13 Written evidence from the University of Southampton and the MRC Life Course Epidemiology
Unit Southampton General Hospital (ZFP0080)
14 NHS Digital, Statistics on Obesity, Physical Activity and Diet, England, 2020 (5 May 2020): https://
digital.nhs.uk /data-and-information/publications/statistical/statistics-on-obesity-physical-
activity-and-diet/england-2020/part-3-adult-obesity-copy [accessed 30 June 2020]
Hungry for change: fixing the failures in food 7
detrimental impact on the industry, the Government must not delay in exploring
the application of fiscal measures (such as further levies or changes to VAT) to
other product categories where reformulation is not in line with Government
targets. Food manufacturers and retailers have been reluctant and slow to act,
but Government regulation can and must compel them to do so now.
In all sectors of society, a shift in consumption is required. Clear public
health messaging is an important start, but the extension and reform of three
public food measures—Healthy Start vouchers, free school meals and holiday
hunger programmes—is absolutely necessary too. If properly funded, properly
implemented, and extended to all who need them, these programmes could
help to prevent the poorest children from going hungry and could enable a shift
in consumption that would make a healthy diet more accessible for children and
families. Combined with a renewed and more targeted effort to communicate
public health messages, these programmes could help make healthy food
an easier and more accessible choice. Schools and local authorities have an
important role in increasing knowledge and skills on nutrition, and supporting
people to make healthier choices, but the Government must ensure that they
are adequately resourced to do so.
Current patterns of consumption are not only impacting adversely on the
population’s health, but also on the environment. Our evidence indicated that
economic forces, including the demands of supermarkets, food manufacturers,
the food services sector, and the large food commodity companies, requiring
farmers to produce food as cheaply as possible can act as an inhibitor to producing
food in an environmentally sustainable way. This can increase the negative
impacts of agriculture on the natural environment, threatening biodiversity and
the quality of farmland. Future agricultural policy should aim to balance food
production with the protection of health and the environment. We welcome
the general direction of the Agriculture Bill, but we have highlighted where
we think there are limitations in its proposals that must be addressed. The Bill
proposes to reward farmers for producing environmental benefits, but we have
warned that without a consistent, reliable system for determining, measuring
and reporting these impacts, the Bill will not fulfil its potential. We have
therefore recommended that every public good outlined in the Agriculture
Bill is accompanied by a standardised framework to allow measurements and
targets to be clear, consistent and easy to use. Farmers should be supported to
achieve the public goods outlined in the Bill, and financial rewards should be
conditional upon action and progress.
The Agriculture Bill must also help to support wider improvements to public
health. There are convincing arguments for a fundamental shift in consumption
towards a more plant-based, balanced diet: current patterns not only have an
adverse impact on the population’s health, but also on the environment. The
Government must clarify the vision for a healthy, sustainable diet, and set out a
clear path towards achieving this. We have recommended that the Agriculture
Bill should recognise, support and reward farmers for measures that promote
improved public health.
In addition, if trade agreements allow for the import of cheap food, produced
according to lower environmental and animal welfare standards, this could put
UK producers, and even consumers’ health, at a disadvantage. In a joint letter to
MPs and Peers, dated June 5 2020, the Secretary of State for International Trade,
the Rt. Hon. Elizabeth Truss MP, and Secretary of State for the Department for
8 Hungry for change: fixing the failures in food
Environment, Food and Rural Affairs, the Rt. Hon. George Eustice MP, stated
that in all of its trade negotiations, the Government “will not compromise on
our high environmental protection, animal welfare and food standards.”15 We
have called on the Government to stand by this commitment and set out what
safeguards it will provide.
Substantive change is required throughout the whole food system—from
plough to plate—to ensure that everyone has access to a healthy, sustainable
diet. Rising levels of obesity, food insecurity and health inequalities, and the
damage caused to the environment by the current system of food production
demonstrates that further action is needed now. In light of these persistent
problems many of our witnesses advocated for ‘whole system change’. In this
report we have identified the points in the food system where changes can and
should be made. We have made recommendations that aim to address issues
relating to: people’s ability to access food and the impact on diet of living in
poverty; the efficacy of existing Government food programmes; the factors that
influence consumer behaviour; the availability of less healthy foods; and food
production and the natural environment. We are clear, however, that to ensure
long-term, sustainable progress can be realised, a clear, overarching vision for
what the food system should achieve is also required, underpinned by robust
governance and accountability. The Government’s National Food Strategy is a
positive and universally welcomed step in the right direction. The Government
has committed to publishing a White Paper in response to the forthcoming
recommendations of the National Food Strategy review, led by Henry Dimbleby.
These recommendations are likely to require cross-departmental co-ordination
and a dedicated system of oversight to bring about a tangible change to the way
we produce, purchase and consume food. We have, therefore, recommended
the establishment of an independent body, responsible for strategic oversight
of the implementation of the National Food Strategy. This independent body
should have the power to advise the Government and report to Parliament on
progress.
At a time of crisis, when Government spending has necessarily and dramatically
risen in response to the impact of the COVID-19 outbreak, we were conscious of
the difficulty of making recommendations which require further demands on the
public purse. With this in mind, we have been selective. The recommendations
we have made would, if implemented, reduce the many burdens that poor diets
place upon the environment, the NHS, and the wider economy.
Food policy has an impact on all sectors of our economy, environment, and
society, and the ability to access a healthy diet has a profound impact on people’s
health and wellbeing. Before the COVID-19 pandemic, the burden placed
on the environment, economy and the NHS by the nation’s diet was already
unsustainable. The unacceptable inequality in people’s ability to access healthy
food also predates the current crisis. The COVID-19 outbreak has pushed
more people into economic difficulty, and has had, and will continue to have,
a serious negative impact on the nation’s health and economy, an impact that
is being felt more acutely by those in deprived areas. It is now, therefore, more
important than ever to ensure that everyone can access a healthy, sustainable
diet. Jo Churchill MP, the Minister for Prevention, Public Health and Primary
15 Letter to MPs and Peers from the Rt. Hon. Elizabeth Truss MP, and Secretary of State for the
Department for Environment, Food and Rural Affairs, the Rt. Hon. George Eustice MP, 5 June
2020. Letter referred to by Lord Gardiner of Kimble, Parliamentary Under-Secretary of State,
Department for Environment, Food and Rural Affairs, HL Deb, 10 June 2020, cols 1753-1754 .
Hungry for change: fixing the failures in food 9
Care at the Department for Health and Social Care, appeared to share that
view, and told us:
“We have a teachable moment, and we should seize it.”16
The COVID-19 pandemic has reinforced the need, and provided the
opportunity, for the Government to act now with commitment and focus to
deliver the improvements to the food system, public health and environmental
sustainability that are so urgently required.
17 Department for Environment, Food and Rural Affairs, National Statistics: Food Statistics in your
pocket Summary’ (updated 30 March) : https://www.gov.uk/government/publications/food-statistics-
pocketbook /food-statistics-in-your-pocket-summary#gross-value-added-of-the-uk-agri-food-
sector-2018 [accessed 30 June 2020]
18 Public Health England, ‘Health Matters: obesity and the food environment’, (31 March 2017): https://
www.gov.uk/government/publications/health-matters-obesity-and-the-food-environment/health-
matters-obesity-and-the-food-environment--2 [accessed 30 June 2020]
19 Department for Business, Energy and Industrial Strategy, 2018 UK Greenhouse Gas Emissions, Final
Figures (4 February 2020) p 12: https://assets.publishing.service.gov.uk/government/uploads/system/
uploads/attachment_data/file/862887/2018_Final_greenhouse_gas_emissions_statistical_release.pdf
[accessed 30 June 2020]
20 Committee on Climate Change, Net Zero The UK’s contribution to stopping global warming (2 May 2019)
p 188: https://www.theccc.org.uk/wp-content/uploads/2019/05/Net-Zero-The-UKs-contribution-to-
stopping-global-warming.pdf [accessed 30 June 2020]
12 Hungry for change: fixing the failures in food
health and the environment. We were told that farmers are trapped in a cycle
where there is not enough emphasis or incentive on the need for healthy,
environmentally sustainable produce. A significant proportion of food is
highly processed by food manufacturers to a point where products contain
high levels of energy (calories), salt, sugar and unhealthy types of fat, which
contribute to disease risks; and low levels of fruit, vegetables, legumes, whole
grains, nuts and seeds, which help to protect against diet-related diseases.
Highly processed foods are then aggressively marketed and promoted to the
consumer, often at discounted prices. While some responsibility lies with
consumers themselves, it is clear that the food system is stacked against the
consumer accessing a healthy diet, particularly for those with less choice and
limited resources.
5. Our task was to focus on the links between the issues outlined above—food,
inequality, public health, and sustainability—to identify where interventions
(policy, regulatory or fiscal) might be applied, or reinforced, to tackle the
serious health, social and environmental damage that is being inflicted by
the current food system. We have brought these themes together under our
central line of inquiry: how to ensure a healthy and sustainable diet can be
accessed by everyone.
6. We examine these issues in more detail in the following chapters. However,
we emphasise at the outset the following conclusions:
(a) The externalities of the current food system—the cost to public health
and to the environment—are unsustainable. Without further action
and oversight by the Government, “others will always end up paying
the true cost of cheap food.”21
(b) The issue of food insecurity is a serious concern, but it should not be
viewed as a failure of the food system itself; it is a consequence of poverty
and the economic and social failures that sit behind it. Measures to
reduce poverty can and should be made elsewhere by the Government.
Evidence shows that poverty-driven food insecurity drives people to
adopt cheaper and less healthy diets, often with high levels of highly
processed foods, resulting in health inequalities that manifest in obesity
(particularly in children) and non-communicable diseases. People who
have a hard time accessing food have an even harder time accessing
healthy food.
(c) In addition, problems accessing healthy food are felt across the
population. The whole population is consuming diets that are too high
in energy, unhealthy types of fat, salt and added sugar and the health
system is shouldering the cost of this. By addressing the dependency
on less healthy food in the food system, we can make progress towards
more equitable access to healthy food for everyone.
7. Continuing with business as usual does not make economic sense. It will
lead to greater costs to the public purse through an excess burden on the
health system from preventable non-communicable diseases and through
increasing environmental degradation. We should aim to ensure the
food system provides safe, healthy and affordable food, that is built upon
a resilient and sustainable agricultural system, at the same time as being
economically viable. Our recommendations are aimed at driving changes to
21 Written evidence from the Food Ethics Council (ZFP0054)
Hungry for change: fixing the failures in food 13
the food system to enable more people to access the food which will keep the
population healthy and reduce the burden on the NHS, economy and the
environment.
8. Finally, we know that the outbreak of COVID-19 is having, and may continue
to have, a very significant impact on the economy and the health of the
nation. When the lockdown measures were first introduced, we had almost
concluded our evidence gathering, but were forced to cancel three evidence
sessions. While we did not have time to take formal evidence on the impact
on the food system of the crisis, we have, where possible, reflected the most
recent data, generated during the pandemic, on the areas covered by our
inquiry. We note that a significant amount of scrutiny work is underway
across Parliament on the impact of COVID-19 including an inquiry into
COVID-19 and food supply being conducted by the House of Commons
Environment, Food and Rural Affairs Committee.
9. While we acknowledge that the Government is at the moment, rightly,
focused on its response to COVID-19, our inquiry highlighted some serious,
systemic problems with the food system, problems that the COVID-19 crisis
only serves to underscore. Many people were already struggling to access a
healthy diet, and the current crisis will worsen that situation, as more people
face unemployment, uncertainty and the effects of ill health. It is, as the
Food Foundation has stated: “A crisis on a crisis.”22
22 The Food Foundation, Covid-19: latest impact on food, (March 2020): https://foodfoundation.org.uk/
covid-19-latest-impact-on-food/ [accessed 30 June 2020]
14 Hungry for change: fixing the failures in food
list of those who gave us written and oral evidence is included in Appendix 2,
and is available on our website.
14. It was of vital importance that we heard from people with lived experience
of food insecurity, and from those who are working ‘on the ground’ to
tackle the issues the inquiry was set up to consider. We had planned, with
the help of Sustain: the alliance for better food and farming, and Church
Action on Poverty, an engagement session with people who have experienced
food insecurity on 17 March 2020. Due to the growing concerns around
the coronavirus, this event was cancelled. We were able instead to arrange
phone calls between the individuals with whom we had planned to meet and
the secretariat of the Committee. A note containing a summary of these
conversations has been included in the report in Appendix 5. We thank
Sustain and Church Action on Poverty for their support with this process
and to the individuals who took the time to share their experiences with us.
15. The Committee also had a visit to Leeds planned for 18 March 2020,
which again had to be cancelled. This was to include a visit to the Compton
Centre, one of the Council’s Community Hub sites, Neruka’s Soup Kitchen,
which provides meal provision for people in need of food, and CATCH, a
community café and Healthy Holiday’s Programme Leader. We are grateful
to Emma Strachan and Nick Hart of Leeds Council who helped to plan
the visit. Information and insights that Leeds Council and its local partners
wanted to share with us were instead submitted as written evidence and are
listed in Appendix 6.
16. Policies relating to food are largely devolved in the United Kingdom.
Consequently, much of the evidence we received and the corresponding
conclusions and recommendations we have drawn focus on the situation in
England.
17. Inevitably, given the breadth and complexity of the issues involved, our
reporting deadline of 23 June, and the considerable disruption to our
timetable, it has not been possible to go into great depth in all the policy
areas that impact on how we access food. Similarly, it was not possible to
examine all aspects of the food system in granular detail. Instead, we have
focused on those policy areas which seemed to be of principal concern, the
areas that require the most urgent change and where we think intervention
could help to achieve the greatest impact.
18. On 27 June 2019, the then Secretary of State for Environment, Food and
Rural Affairs, the Rt. Hon. Michael Gove MP, commissioned Henry
Dimbleby to conduct an independent review to help the Government create
a National Food Strategy. The Government committed to responding with
a White Paper six months after the review is published. The National Food
Strategy review is ongoing, and we want to express our gratitude to Henry
Dimbleby for providing evidence to us. The National Food Strategy review
will doubtless contribute towards tackling many of the issues identified
over the course of our inquiry, and we hope our recommendations will
complement its work.
19. We are grateful to our two Specialist Advisers: Professor Elizabeth Robinson,
Head of Applied Economics and Marketing at the School of Agriculture,
Policy and Development at the University of Reading; and Professor Martin
White, Professor of Population Health Research in the Centre for Diet
Hungry for change: fixing the failures in food 15
For the purposes of this report, we use the following terms and definitions:
• Food system. This term comprises: agriculture and horticulture; food
manufacturing; food retail; the food environment, and the interaction of
all of these elements with each other and consumers.
• Food environment. In the report, this term is used to describe the factors
that impact on individual’s food choices. It includes, but is not limited to,
the physical presence of different types of food outlets and the physical
layout of outlets, the marketing and advertising of foods and nutritional
information.
• Food insecurity. The FAO defines food insecurity as “limited access to
food, at the level of individuals or households, due to lack of money or other
resources.”23 We also note the definition used by the Food Foundation
and the UK’s Low Income Diet and Nutrition Survey, 2007: “limited or
uncertain availability of nutritionally adequate and safe foods or limited
or uncertain ability to acquire acceptable foods in socially acceptable ways
(e.g. without resorting to emergency food supplies, scavenging, stealing or
other coping strategies).”24
• ‘Food security’ refers to a household or an individual’s ability to access
food. In the report, that is distinct from discussions on the resilience and
continuity of the food supply.
• ‘Healthy diet’. This term is generally understood to mean a diet that is
high in fruits, vegetables, legumes, nuts, seeds and whole grains and
low in unhealthy types of fat25, salt and unrefined carbohydrates (e.g.
added sugars). A healthy diet also contains sufficient, but not excessive
energy (calories) and is low in foods that are ‘energy dense’ (i.e. foods
that have a large number of calories per serving). In the UK, government
recommendations for a healthy and sustainable diet are set out in the
Eatwell Guide.26 An ‘unhealthy diet’ is generally understood to be one
that does not adhere to the properties set out above.
232425 26
23 FAO, IFAD, WFP and WHO, The State of Food Security and Nutrition in the World, (2017), p 96: http://
www.fao.org/3/a-i7695e.pdf [accessed 29 June 2020]
24 The Food Foundation, Too poor to eat: Food insecurity in the UK (May 2016) p 3: https://enuf.org.uk/
resources/too-poor-eat-food-insecurity-uk [accessed 30 June 2020]
25 All fats are energy dense, so should be eaten in moderation, but some fats are healthier than others,
being essential for bodily functions (e.g. absorption of some vitamins, production of some hormones,
development of cell membranes).
Healthier fats include polyunsaturated fats (e.g. pure vegetable oils, fish oils), monounsaturated fats
(e.g. from some fruits, nuts and seeds, such as olive oil, peanut oil) and saturated fats derived from
dairy products. Unhealthy fats include industrially processed fats (e.g. ‘transfats’—now banned in the
UK), and saturated fats from animal sources (e.g. red and processed meats): Jason Wu, Renata Micha,
& Dariush Mozaffarian, ‘Dietary fats and cardiometabolic disease: mechanisms and effects on risk
factors and outcomes’,. National Reviews of Cardiology, 16, 581–601 (2019) doi: 10.1038/s41569-019-
0206-1: https://pubmed.ncbi.nlm.nih.gov/31097791/ [accessed 30 June 2020]
26 NHS, The Eatwell Guide: https://www.nhs.uk/live-well/eat-well/the-eatwell-guide/ [accessed 30 June
2020]
16 Hungry for change: fixing the failures in food
• ‘Less healthy food’. This term is generally understood to mean foods that
are high in unhealthy types of fat, salt or added sugar, and is used to
describe foods that are low in fruits, vegetables, legumes, nuts, seeds and
whole grains. The terms also covers foods that are ‘energy dense’, foods
that have a large number of calories per serving.
• ‘Highly processed foods.’ The report also includes reference to ‘highly
processed’ foods. These are foods that are created by a series of industrial
techniques and processes. The Food and Agriculture Organisation (FAO)
of the United Nations states that foods which have been highly processed
(it uses the term ‘ultra-processed’) are: “energy-dense, high in unhealthy
types of fat, refined starches, free sugars and salt, and poor sources of
protein, dietary fibre and micronutrients and are made to be hyper-
palatable and attractive, with long shelf-life, and able to be consumed
anywhere, any time.”27
• HFSS foods. The Childhood Obesity Plan refers to ‘HFSS’ foods,
which it defines as products that are high in fat, sugar and salt.28 The
Department of Health and Social Care (DHSC), through its Standing
Advisory Committee on Nutrition (SACN) developed its Nutrient
Profiling Model (NPM) to define which foods are classified as HFSS.
The NPM classification system was used to classify foods in the Ofcom
regulation of the TV advertising of foods to children (2007) and has been
proposed as the basis for classifying foods subject to further regulations
in the Government’s Childhood Obesity Plan. The NPM was updated in
2018, and the new version published, but it is yet to be implemented for
new policies.29
27 28 29
27 Carlos Monteiro, Geoffrey Cannon, Jean-Claude Moubarac, Renata Levy, Maria Louzada and
Patricia Jaime,. ‘The UN Decade of Nutrition, the NOVA food classification and the trouble with
ultra-processing’,. Public Health Nutrition. 2018;21(1):5–17. doi:10.1017/S1368980017000234: https://
pubmed.ncbi.nlm.nih.gov/28322183/.[accessed 30 June 2020]
28 HM Government, Childhood obesity: a plan for action, Chapter 2 (June 2018): https://assets.publishing.
service.gov.uk/government/uploads/system/uploads/attachment_data/file/718903/childhood-obesity-
a-plan-for-action-chapter-2.pdf [accessed 30 June 2020]
29 Public Health England, Annex A The 2018 review of the UK Nutrient Profiling Model (March 2018)
p 9: https://assets.publishing.service.gov.uk/government/uploads/system/uploads/attachment_data/
file/694145/Annex__A_the_2018_review_of_the_UK_nutrient_profiling_model.pdf [accessed 30
June 2020]
Hungry for change: fixing the failures in food 17
20. Before examining the links between the core themes of the inquiry and
drawing any conclusions about how to address the issues of food insecurity,
diet-related ill health and food sustainability, it was important to consider
the food system as a whole, to examine what it produces and what we
consume, and the scale of the challenges that are present. The following
sections set out a broad overview of the ‘food system’, focused in particular
on agriculture, food and drink manufacturing, food and drink retailing, and
consumer interaction with the food environment.
• In 2018 the value of imports was greater than the value of exports in
each of the broad categories of food, feed and drink except ‘Beverages’
which had a trade surplus of £1.81 billion, largely due to exports of
Scotch Whisky (see Figure 2).36
30 Department for Environment, Food and Rural Affairs, National Statistics: Food Statistics in your pocket:
Food Chain (updated 30 March 2020): https://www.gov.uk/government/publications/food-statistics-
pocketbook/food-statistics-in-your-pocket-food-chain [accessed 30 June 2020]
31 DEFRA states that ‘food’ includes non-alcoholic drinks: Department for Environment, Food and
Rural Affairs, National Statistics: Food Statistics in your pocket: Summary (updated 30 March 2020):
https://www.gov.uk/government/publications/food-statistics-pocketbook/food-statistics-in-your-
pocket-summary#gross-value-added-of-the-uk-agri-food-sector-2018 [accessed 30 June 2020]
32 DEFRA states that the agri-food sector employs 4.1 million people if agriculture and fishing are
included along with self-employed farmers: Department for Environment, Food and Rural Affairs,
National Statistics: Food Statistics in your pocket: Summary (updated 30 March 2020): https://www.
gov.uk/government/publications/food-statistics-pocketbook/food-statistics-in-your-pocket-summary
[accessed 30 June 2020]
33 The Food and Drink and Federation, Our Industry at a glance (June 2020): https://www.fdf.org.uk/
statsataglance.aspx [accessed 30 June 2020]
34 Ibid.
35 Department for Environment, Food and Rural Affairs, National Statistics: Food Statistics in your pocket:
Food Chain (updated 30 March 2020): https://www.gov.uk/government/publications/food-statistics-
pocketbook/food-statistics-in-your-pocket-food-chain [accessed 30 June 2020]
36 2018 figures are provisional. Department for Environment Food and Rural Affairs, National Statistics:
Food Statistics in your pocket: Global and UK supply (Updated 30 March 2020): https://www.gov.uk/
government/publications/food-statistics-pocketbook/food-statistics-in-your-pocket-global-and-uk-
supply [accessed 25 June 2020]
18 Hungry for change: fixing the failures in food
Figure 1: Breakdown of Gross Value Added (GVA) per food sector and
employment figures per sector
37 Department for Environment, Food and Rural Affairs, National Statistics: Food Statistics in your pocket:
Food Chain (updated 30 March 2020): https://www.gov.uk/government/publications/food-statistics-
pocketbook/food-statistics-in-your-pocket-food-chain [accessed 30 June 2020]
Hungry for change: fixing the failures in food 19
0 2 4 6 8 10 12
imports £billion exports £billion
Source: Department for Environment Food and Rural Affairs, National Statistics: Food Statistics in your pocket:
Global and UK Supply (Updated March 2020): https://www.gov.uk/government/publications/food-statistics-
pocketbook/food-statistics-in-your-pocket-global-and-uk-supply [accessed 25 June 2020]
22. The industrial revolution changed our food system dramatically and together
with free trade and cheap imports it has, over time, become disproportionately
focused on the output of cheaper, less healthy foods. This has resulted in a
situation where highly processed foods make up a significant proportion of
the diet of typical families.38
• Those in the poorest deciles are even less likely to meet recommendations
on healthy eating guidance. Evidence from the Food Foundation,
LSHTM and SHEFS stated that: “The poorest households only
purchase 3.2 portions of fruit and vegetables per day”45 and that
only “17% of the poorest decile were consuming sufficient fruit and
vegetables compared with 26% in the general population.”46
41 The Food Foundation, The Broken Plate, (26 February 2019) p 14: https://foodfoundation.org.uk/wp-
content/uploads/2019/02/The-Broken-Plate.pdf [accessed 30 June 2020]
42 Public Health England, PHE’s publishes latest data on nation’s diet, (16 March 2018): https://www.gov.
uk/government/news/phe-publishes-latest-data-on-nations-diet [accessed 30 June 2020]
43 Public Health England and Food Standards Agency: National Diet and Nutrition Survey, Years 1 to
9 of the rolling programme (2008/2009–2016/2017): time trend and income analyses (January 2019) p
25: https://assets.publishing.service.gov.uk/government/uploads/system/uploads/attachment_data/
file/772434/NDNS_UK_Y1-9_report.pdf [accessed 30 June 2020]
44 Written evidence from the Food Foundation, London School of Hygiene and Tropical Medicine and
Sustainable and Healthy Food Systems (SHEFS) (ZFP0073)
45 The Food Foundation, Food system challenges: https://foodfoundation.org.uk/food-system-challenges/
[accessed 29 June 2020]
46 Written evidence from the Food Foundation, London School of Hygiene and Tropical Medicine and
Sustainable and Healthy Food Systems (SHEFS) (ZFP0073)
Hungry for change: fixing the failures in food 21
Morrisons 9% Aldi 8%
Sainsbury’s 11%
Marks
Tesco 21%
and
Spencer Waitrose
Internet 7% 4% 4%
Iceland
Others 14% Asda 10% Lidl 5% Co-op 4% 3%
Source: Department for Environment Food and Rural Affairs, National Statistics: Food Statistics in your pocket:
Food Chain, (30 March 2020): https://www.gov.uk/government/publications/food-statistics-pocketbook/
food-statistics-in-your-pocket-food-chain [accessed 30 June 2020]. ‘Internet’ includes online orders from the
largest supermarkets.
47 Public Health England, ‘Health Matters: obesity and the food environment’, (31 March 2017): https://
www.gov.uk/government/publications/health-matters-obesity-and-the-food-environment/health-
matters-obesity-and-the-food-environment--2 [accessed 30 June 2020]
48 Ibid.
22 Hungry for change: fixing the failures in food
up to 500 extra calories per day, depending on their age and sex, while
adults consume between 200 and 300 calories too many.49
• A report from the Intensive Care National Audit and Research Centre
that used data up to 21 May 2020 and showed that 7.7% of patients
critically ill in intensive care units (ICU) with confirmed COVID-19
were morbidly obese compared with 2.9% of the general population
(after adjusting for age and sex). This disparity was also seen when
looking at white and non-white patients separately. The report also
showed a relationship between BMI and death from COVID-19 in
BMI over 30 kg/m2.56
49 Public Health England, Sugar Reduction Programme, Progress made by the industry in the first year, (May
22 2018): https://publichealthengland.exposure.co/sugar-reduction-programme [accessed 30 June
2020]
50 NHS Digital, Statistics on Obesity, Physical Activity and Diet, England, 2020, (published 5 May 2020):
https://digital.nhs.uk/data-and-information/publications/statistical/statistics-on-obesity-physical-
activity-and-diet/england-2020/part-3-adult-obesity-copy [accessed 30 June 2020]
51 NHS Digital, Statistics on Obesity, Physical Activity and Diet, England, 2020’, (5 May 2020):https://
digital.nhs.uk/data-and-information/publications/statistical/statistics-on-obesity-physical-activity-
and-diet/england-2020 [accessed 30 June 2020]
52 List of OECD countries: https://www.oecd.org/about/document/list-oecd-member-countries.htm
53 OECD, Health at a Glance 2019, OECD indicators, (2019) p 10: https://www.oecd-ilibrary.org/
docserver/4dd50c09-en.pdf [accessed 30 June 2020]
54 NHS Digital, Statistics on Obesity, Physical Activity and Diet, England, 2020, (5 May 2020): https://
digital.nhs.uk/data-and-information/publications/statistical/statistics-on-obesity-physical-activity-
and-diet/england-2020/part-3-adult-obesity-copy [accessed 30 June 2020]
55 Public Health England, Disparities in the risk and outcomes of COVID-19 (June 2020) p 60: https://
assets.publishing.service.gov.uk/government/uploads/system/uploads/attachment_data/file/891116/
disparities_review.pdf [accessed 30 June 2020]
56 PHE states that this analysis controlled for other demographics and health conditions but is restricted
to those patients admitted to ICU from 289 participating trusts. Public Health England, Disparities
in the risk and outcomes of COVID-19 (June 2020) p 60: https://assets.publishing.service.gov.uk/
government/uploads/system/uploads/attachment_data/file/891116/disparities_review.pdf [accessed 30
June 2020
Hungry for change: fixing the failures in food 23
Health inequalities
25. Given the focus of our inquiry, we were particularly concerned about the
extent to which diet-related ill health affects those in lower income groups.
There is considerable evidence to suggest that there is inequality when it
comes to being able to eat a healthy diet:
57 PHE states that compared with non-overweight people (BMI < 25 kg/m2), the odds ratios were 1.26
(confidence interval of 1.01-1.56) for those who were overweight, 1.37 (1.06-1.76) for those in obese
class I and 2.04 (1.50-2.77) for those in obese classes II and III combined. Public Health England,
Disparities in the risk and outcomes of COVID-19 (June 2020) p 60: https://assets.publishing.service.
gov.uk/government/uploads/system/uploads/attachment_data/file/891116/disparities_review.pdf
[accessed 30 June 2020]
58 PHE states that the hazard ratio compared to those who were not obese increased as BMI increased
and was 1.27 (1.18-1.36) for those in obese class I, 1.56 (1.41-1.73) for those in obese class II and 2.27
(1.99 to 2.58) for those in obese class III (morbidly obese).
59 Public Health England, Disparities in the risk and outcomes of COVID-19 (June 2020) p 60: https://
assets.publishing.service.gov.uk/government/uploads/system/uploads/attachment_data/file/891116/
disparities_review.pdf [accessed 30 June 2020]
60 House of Commons Library, Obesity Statistics, Briefing Paper Number 3336, 6 August 2019
61 Office for National Statistics, Health state life expectancies by national deprivation deciles, England: 2016 to
2018’, (27 March 2020): https://www.ons.gov.uk/peoplepopulationandcommunity/healthandsocialcare/
healthinequalities/bulletins/healthstatelifeexpectanciesbyindexofmultipledeprivationimd/2016to2018
[accessed 30 June 2020]
24 Hungry for change: fixing the failures in food
Figure 4: Life expectancy and healthy life expectancy by age, sex and
deprivation decile in England, 2016-18
Male Female
Most deprived
1
2
3
4
5
6
7
8
9
10
90 80 70 60 50 0 0 50 60 70 80 90
Least deprived
Good health Poorer health
Source: Office for National Statistics, ‘Health state life expectancies by national deprivation deciles, England:
2016 to 2018’, 27 March 2020: https://www.ons.gov.uk/peoplepopulationandcommunity/healthandsocialcare/
healthinequalities/bulletins/healthstatelifeexpectanciesbyindexofmultipledeprivationimd/2016to2018.Life
expectancy refers to period life expectancy, the average number of years a person would live, if they experienced that
particular area’s age-specific mortality rates for that time period throughout their life. Based on survey data. Survey
respondents who answered their general health as “very good” and “good” were classified as having good health.
Those who answered “fair”, “bad” and “very bad” were classified as having poorer health.
28. The report also referred to the issue of food insecurity and observed that:
“One of the clearest and most immediate impacts of being in poverty is
an inability to buy nutritious food. The 2010 Marmot Review discussed
the relationship between food and health but the common use of food
banks and the term arose after the report was published. There is also
widespread concern at food insecurity and poor nutritional intake and
62 Institute of Health Equity, Health Equity in England: The Marmot Review 10 year on (February 2020)
p 84: https://www.health.org.uk/sites/default/files/upload/publications/2020/Health%20Equity%20
in%20England_The%20Marmot%20Review%2010%20Years%20On_full%20report.pdf [accessed
30 June 2020]
Hungry for change: fixing the failures in food 25
• Risk of dying among those diagnosed with COVID-19 was also higher
in males than females; higher in those living in the more deprived areas
than those living in the least deprived; and higher in those in Black,
Asian and Minority Ethnic (BAME) groups than in White ethnic
groups.
• People who live in deprived areas have higher diagnosis rates and death
rates than those living in less deprived areas. The mortality rates from
COVID-19 in the most deprived areas were more than double the least
deprived areas, for both males and females.66
63 Institute of Health Equity, Health Equity in England: The Marmot Review 10 year on (February 2020)
p 84: https://www.health.org.uk/sites/default/files/upload/publications/2020/Health%20Equity%20
in%20England_The%20Marmot%20Review%2010%20Years%20On_full%20report.pdf [accessed
30 June 2020]
64 Written evidence from the Food Foundation, London School of Hygiene and Tropical Medicine and
Sustainable and Healthy Food Systems (SHEFS) (ZFP0073)
65 Institute of Health Equity, Health Equity in England: The Marmot Review 10 year on (February 2020)
p 35: https://www.health.org.uk/sites/default/files/upload/publications/2020/Health%20Equity%20
in%20England_The%20Marmot%20Review%2010%20Years%20On_full%20report.pdf [accessed
30 June 2020]
66 Public Health England, Disparities in the risk and outcomes of COVID-19 (June 2020): https://assets.
publishing.service.gov.uk /government /uploads/system /uploads/attachment_data/f ile/891116/
disparities_review.pdf [accessed 30 June 2020]
26 Hungry for change: fixing the failures in food
• There are high levels of food waste in the UK: “an estimated 10.2
million tonnes of food and drink are wasted annually after the farm
gate, worth around £20 billion.”69
33. A number of witnesses suggested that the current food system is biased
towards producing less healthy foods. UK Research and Innovation provided
the following summary of the impact of this demand:
“Food production processes directly and indirectly impact consumers’
dietary choices, with the effects related to food production extending
across income groups, with some impacted more than others. The
global food system produces more grains, sugars and fats than we need
for health, but not enough fruits and vegetables. These grains, sugars
and fats are highly subsidised, and when refined and combined in
manufacturing, lead to cheap and unhealthy products that permeate our
food environments, resulting in over-consumption, poor nutrition and
health.”70
67 Department for Environment, Food and Rural Affairs, The future farming and environment evidence
compendium (September 2019): https://assets.publishing.service.gov.uk/government/uploads/system/
uploads/attachment_data/file/834432/evidence-compendium-26sep19.pdf [accessed 30 June 2020]
68 Written evidence from the Food Foundation, London School of Hygiene and Tropical Medicine and
Sustainable and Healthy Food Systems (SHEFS) (ZFP0073)
69 Written evidence from HM Government (ZFP0079)
70 Written evidence from UK Research and Innovation (ZFP0039)
71 Department of Health and Social Care, Childhood Obesity: a plan for action, Chapter 2 (June 2018)
p 5: https://assets.publishing.service.gov.uk/government/uploads/system/uploads/attachment_data/
file/718903/childhood-obesity-a-plan-for-action-chapter-2.pdf [accessed 30 June 2020]
Hungry for change: fixing the failures in food 27
Agriculture Bill
39. The Agriculture Bill 2019–20 (preceded by the Agriculture Bill 2017–
19 which fell at Dissolution in October 2019), will provide the legislative
framework for agriculture support schemes to replace the EU’s Common
Agricultural Policy (CAP). Current payments to farmers for environmental
protection are incorporated within the Countryside Stewardship funding or
the Basic Payment Scheme, and will be replaced by the Environmental Land
Management scheme (ELMS) contained in the Agriculture Bill.
40. The ELMS proposes to reward a number of environmental ‘public goods’
with public money. The Government will support and reward farmers for
providing improved environmental outcomes such as improved soil health
and carbon emissions. The Department told us that the scheme may lead
some farmers to move away from “traditional agricultural activity”.77 The
discussions of the scheme, including what, exactly, farmers will be rewarded
for and the frameworks by which progress will be measured, are at a very
early stage, and few details are available.
and regulation81 though we recognise that this is just one view on the potential
external costs of the food system.
47. A number of witnesses suggested that extra costs incurred by the food
system to health and the environment are currently not paid by the food
manufacturers and retailers that cause the damage, nor are they included
within the retail price of food. The Sustainable Food Trust claims those
costs are passed on to the public through “taxation, lost income due to
ill health and the price of mitigating and adapting to climate change and
environmental degradation.”82
Conclusions
48. The food system is vast and complex. Any measures aimed at ‘wider system
change’ will need to take into account the diversity of the industries.
Decisions about the food system will also have implications for health and for
the economy. As Henry Dimbleby, the leader of the National Food Strategy
Review, said about the food system: “it is almost impossible to act on it in
any way without creating winners and losers.”83
49. Over the course of the inquiry, we have encountered several ‘quick fix’ policy
areas. These are either: policies which are being poorly implemented and not
therefore having the intended effect, or policies which are causing harm and
should be removed.
50. Many witnesses spoke of the need for overwhelming ‘system change’,
although this term was not satisfactorily explained. We have decided to
refine these requests and recommend an overhaul of Government policy to
address three specific problem areas identified in the evidence as crucial to
the functioning of the current ‘system’:
(a) Changing ‘the food environment’, for example by regulation, education,
or incentive;
(b) Changing agricultural practices by altering criteria for farming
subsidies and providing support and clarity to the sector; and
(c) Improving the governance of ‘food policy’ and integrating this into
social and economic policy.
81 The full breakdown of these extra costs was listed as: natural capital degradation; biodiversity
loss; production-related ill health; diet related disease; imported food; farm support payments; and
regulation and research. The Sustainable Food Trust, The Hidden Cost of UK Food (21 November
2017) p 8: https://sustainablefoodtrust.org/wp-content/uploads/2013/04/Website-Version-The-
Hidden-Cost-of-UK-Food.pdf [accessed 30 June 2020]
82 The Sustainable Food Trust, The Hidden Cost of UK Food (21 November 2017): https://
sustainablefoodtrust.org/articles/hidden-cost-uk-food/ [accessed 30 June 2020]
83 Q 100 (Henry Dimbleby)
30 Hungry for change: fixing the failures in food
51. Poor diet can have a significant impact upon an individual’s health and life
chances and is associated with considerable, unacceptable costs to the NHS
and UK economy. Incidences of poor diets and resultant health problems,
though widespread in every demographic, are more densely concentrated
in lower income groups who must overcome far greater hurdles to access
a healthy diet than their more fortunate counterparts. These individuals
and groups are significantly more likely to suffer from the particularly acute
levels of food insecurity marked by visits to food banks and, in some cases,
persistent hunger. One academic described food insecurity as: “a public health
emergency”.84The outbreak of COVID-19 has had a significant impact on
income for many people, exacerbating existing problems of poverty and food
insecurity. We have, where possible, incorporated some of the preliminary
analysis of this impact into our report.
52. Food insecurity should have no place in 21st century Britain. No individual
should be skipping meals because there is insufficient food for themselves
or their family. And yet, this is still the case. We were compelled to ask:
how does the situation of food insecurity arise and what could be done to
prevent it? The first section of this chapter therefore addresses the causes of
food insecurity, concluding that it is a symptom of poverty. It is important to
understand the lived reality behind the statistics, so this chapter draws from
what people with lived experience of poverty and food insecurity told us. It
was beyond our remit to address the root causes of poverty, but it was perhaps
inevitable that we make some comment on areas that were drawn to our
attention: particularly the five-week wait for the first payment of Universal
Credit (UC) which has for many represented a crisis leading to hunger.
53. Beyond this issue of acute food insecurity is a wider issue: access to healthy
diets. A large proportion of the population, not just the poorest in society,
cannot easily access a healthy, balanced diet that provides them with the
right quantities of the nutrients they need. Like hunger, this is a type of
malnutrition—in this case, individuals can be both overnourished with
calories and at the same time undernourished in relation to key nutrients.85
No demographic group in the UK meets the Government’s guidance on
healthy diets, and levels of obesity and diet related ill health are too high
in every demographic group—but both obesity and diet-related ill health
disproportionally affect lower income groups.
54. The question of the affordability of healthy food arose early in our inquiry:
healthy food has been shown to be three times more expensive, calorie for
calorie, than less healthy alternatives. We were also directed to research
estimating the true cost of meeting the Government’s recommendations
for healthy eating, including unsettling statistics demonstrating the large
proportion of disposable income that the poorest families would have to
spend to meet them. We investigated the benefits system and asked why
consideration of the cost of a healthy diet does not form part of its design.
Other barriers to healthy diets, including physical resources and the
increased level of effort and ‘emotional bandwidth’ required for the poorest
Measurements of poverty
55. All measures of poverty rely, to some degree, on determining the amount
of money available to people. The Government’s definition of poverty is
based on the median household income without reference to expenditure
other than housing costs. Other measurements, including those based on
the recommendations of the Social Metrics Commission, (SMC)86 include
measurements of other aspects of life which affect spending power such as
savings and living costs. As defined by the Joseph Rowntree Foundation
(JRF), income must be related to necessary outgoings: “poverty is when your
resources fall well below your needs.”87
56. The SMC recommended a new measure of poverty which is based on the
extent to which someone’s resources meet their needs. There was broad
support for this measure. Helen Barnard, Deputy Director of Policy and
Partnerships at the Joseph Rowntree Foundation, told us that:
“The best measure that we have now is the Social Metrics Commission
measure. This is particularly because it takes into account the inescapable
costs—such as housing, childcare and the costs of being disabled—as
well as your resources, which are income but also things such as liquid
savings. Those two sides of the equation are very important: it is not just
about how much income you have but about what things cost.”88
57. Garry Lemon, Director of Policy, External affairs and Research at the
Trussell Trust, explained that by considering costs as well as expenses, “you
can see that groups that have had policy solutions put in place for them are
86 Social Metrics Commission, Social Metrics Commission 2018 Report (September 2018): https://
socialmetricscommission.org.uk/social-metrics-commission-2018-report/ [accessed 30 June 2020].
The Social Metrics Commission was established in 2016 to determine a new series of poverty metrics
to better reflect the reality of poverty in the UK.
87 Q 31 (Helen Barnard)
88 Ibid.
32 Hungry for change: fixing the failures in food
less likely to be in poverty than in the past. For example, particularly with
older people we have seen an impressive decrease in poverty.”89 Mr Lemon
suggested better understanding of poverty levels could help to improve policy
making, and suggested that, “the decrease in poverty for older people is an
example of where good evidence-based policy can make a real difference if
the numbers are understood properly.”90
58. The headline poverty measures used in the UK count the number of
individuals falling below a threshold of household income. One commonly
used measure is people in relative low income (sometimes referred to as
relative poverty). This counts people living in households with income
below 60% of the median household income. Another measure is absolute
low income (or absolute poverty), which counts people living in households
with income below 60% of the median in some base year (usually 2010/11),91
uprated for inflation.92 Income can be measured before housing costs (BHC)
or after housing costs (AHC).
59. The 2018/19 figures for the UK suggest that:
• 11 million people (17%) are in relative low income BHC and 14.5 million
AHC (22%). This includes 2.8 million children (20%) in relative low
income BHC and 4.2 million AHC (30%).93
• 9.7 million people (15%) are in absolute low income BHC and 12.9
million AHC (20%). This includes 2.4 million children (17%) in
absolute low income BHC and 3.7 million AHC (26%).94
These figures are also outlined in Figure 5.
60. Trend analysis of poverty statistics suggests that, over the longer-term,
there has been a reduction in poverty rates since the late 1990s for children,
pensioners and working-age parents. However, for working-age adults
without dependent children, the likelihood of being in relative low income
has increased. There are also suggestions that poverty rates as a whole have
started to increase. Projections from the Institute for Fiscal Studies and the
Resolution Foundation,95 indicate that:
“The official rate of relative AHC poverty is projected to rise by over 2
[percentage points] between 2015–16 and 2021–22. All of the projected
increase in relative poverty is driven by relative child poverty, which is
projected to rise by 7 [percentage points].”96
Trends in the SMC measure are similar to relative poverty measured after
housing costs (AHC), though the SMC measurement gives a lower percentage
for pensioner poverty, and higher for poverty among children and people in
families where someone is disabled than the official statistics.97
61. Alison Garnham, Chief Executive of the Child Poverty Action Group
(CPAG), highlighted that child poverty has risen significantly and that the
figures for child poverty also highlight the levels of in work poverty. She
stated that child poverty, “has risen by 500,000 since 2010, up to 4.1 million
from 3.6 million. According to the Institute for Fiscal Studies, we expect
that level to go on rising to above 5 million. Seven out of 10 of those children
live with at least one parent who works.”98 Ms Garnham highlighted that the
proportion of in work poverty has a particular impact on children in those
families because fewer of them are entitled to support like free school meals
which are based on receipt of benefits.99
97 House of Commons Library, Poverty in the UK: statistics, Briefing Paper, Number 7096, 29 April
2020
98 Q 32 (Alison Garnham) Ms Garnham was giving evidence in October 2019, at which time the number
of children known to be in relative low income after housing costs was 4.1 million. Based on 2018/19
figures this has risen further, to 4.2 million.
99 Q 32 (Alison Garnham)
34 Hungry for change: fixing the failures in food
Source: Department for Work and Pensions, Households below average income (HBAI) statistics, (26 March
2020): https://www.gov.uk/government/collections/households-below-average-income-hbai--2 [accessed 30 June
2020]
Food insecurity
66. The term ‘food poverty’ is often used interchangeably with the term ‘food
insecurity’. Food insecurity has been described as: “limited or uncertain
availability of nutritionally adequate and safe foods or limited or uncertain
ability to acquire acceptable foods in socially acceptable ways (e.g. without
resorting to emergency food supplies, scavenging, stealing or other coping
100 BBC, Coronavirus: World Bank warns 60m at risk of “extreme poverty”, (20 May 2020): https://www.bbc.
co.uk/news/business-52733706 [accessed 30 June 2020]
101 House of Commons Library, Coronavirus: Impact on the Labour market, Briefing Paper Number
8898, 30 April 2020
102 BBC, Bank of England warns of sharpest recession on record, (7 May 2020): https://www.bbc.co.uk/news/
business-52566030 [accessed 30 June 2020]
103 Oral evidence taken before the Economic Affairs Committee, Tuesday 19 May (Session 2019–2021)
Q 1 (The Rt. Hon. Rishi Sunak MP)
104 The Food Foundation, New Food Foundation Survey: three million Britons are going hungry just three
weeks into lockdown, (April 2020): https://foodfoundation.org.uk/new-food-foundation-survey-three-
million-britons-are-going-hungry-just-three-weeks-into-lockdown/ [accessed 30 June 2020]
105 HC Debate, 4 May 2020, cols 421-424
106 House of Commons Library, Coronavirus: Impact on the Labour market, Briefing Paper Number
8898, 30 April 2020
36 Hungry for change: fixing the failures in food
• Results from the 2018 Food and You Survey, which found that: “80%
of respondents lived in households with high food security, 10% in
households classified as marginally food secure, and 10% reported
living in households with low or very low food security.”111
68. Our evidence highlighted the use of food banks as a key indicator of levels
of food insecurity. Figures from the Trussell Trust, which runs around
1,200 food bank centres across the UK, indicated both a concerning level
of use, and suggested that the reliance on foodbanks was increasing. Figures
published by the Trussell Trust figures showed that:
• Between 1 April 2018 and 31 March 2019, the Trussell Trust distributed
1.6 million three-day emergency food parcels. This represents a 19%
increase on the previous year;
• In the last five years, food bank use in the Trussell Trust network has
increased by 73%.112
69. Based on the available evidence and despite the lack of official data on food
insecurity, we think it is fair to conclude that there are unacceptable levels
of food insecurity in this country. No one should struggle to access the food
they need. Evidence from the Food Foundation, LSHTM and SHEFS
reached a similar conclusion, stating that:
107 Evidence and Network on UK Household Food Insecurity, Too poor to eat: Food insecurity in the UK
(May 2016): https://enuf.org.uk/sites/default/files/resources/foodinsecuritybriefing-may-2016-final.
pdf [accessed 30 June 2020]
108 As outlined in paragraph 73, the Government will include new questions on food insecurity in the
Family Resources Survey. Data will not be available until 2021.
109 Food and Agriculture Organization of the United Nations, The State of Food Insecurity and Nutrition in
the World, Building Climate Resilience for Food Security and Nutrition (2018), p 138: http://www.fao.org/3/
I9553EN/i9553en.pdf [accessed 29 June 2020]
110 Environmental Audit Committee, Sustainable Development Goals in the UK follow up: Hunger,
malnutrition and food insecurity in the UK (Thirteenth Report, Session 2017–19, HC 1491)
111 Food Standards Agency, The Food and You Survey, Wave 5, (2019): https://www.food.gov.uk/sites/
default/files/media/document/food-and-you-wave5-combined-report-web-revised.pdf [accessed 30
June 2020]. Wave 5 data collected between June and November 2018. This survey is a repeated cross-
sectional study run by the Food Standards Agency based on 2,241 interviews from a representative
multi-stage stratified random sample of adults across England, Wales and Northern Ireland.
112 The Trussell Trust, End of Year Stats: https://www.trusselltrust.org/news-and-blog/latest-stats/end-
year-stats/ [accessed 30 June 2020]
Hungry for change: fixing the failures in food 37
113 Written evidence from the Food Foundation, London School of Hygiene and Tropical Medicine and
Sustainable and Healthy food Systems (SHEFS) (ZFP0073)
114 The Food Foundation, New Food Foundation Survey: Three million Britons are going hungry just three
weeks into lockdown (April 2020): https://foodfoundation.org.uk/new-food-foundation-survey-three-
million-britons-are-going-hungry-just-three-weeks-into-lockdown/ [accessed 30 June 2020]. Food
Foundation figures based on online survey that it commissioned YouGov Plc to undertake. The Food
Foundation states that: Total sample size was 4,343 adults. Fieldwork was undertaken between 7–
9 April 2020. The survey was carried out online. The figures have been weighted and are representative
of all GB adults (aged 18+). The Food Foundation states that its calculations were made using mid-
year population estimates.
115 The Trussell Trust, Food banks report record spike in need as coalition of anti-poverty charities call for
strong lifeline to be thrown to anyone who needs it (1 May 2020): https://www.trusselltrust.org/2020/05/01/
coalition-call/ [accessed 30 June 2020]
38 Hungry for change: fixing the failures in food
116 ‘“Hunger Queues” and use of food banks on the rise as Spain struggles to recover from coronavirus’,
The Independent (28 May 2020): https://www.independent.co.uk/news/world/europe/food-banks-
spain-hunger-coronavirus-poverty-covid-19-a9536341.html [accessed 30 June 2020] and BBC News,
Coronavirus: Lockdown bites poor as France eases grip (7 May 2020): https://www.bbc.co.uk/news/world-
europe-52557722 [accessed 30 June 2020]
117 ‘Italy sets aside €400m for food vouchers as social unrest mounts’, The Guardian (31 March 2020):
https://www.theguardian.com/world/2020/mar/29/italy-sets-aside-400m-for-food-vouchers-as-
social-unrest-mounts [accessed 30 June 2020]
118 An annual report that provides facts and figures about the incomes and living circumstances of
households and families in the UK.
119 Written evidence from HM Government (ZFP0079)
120 Food Insecurity Bill [Bill 136 (2017–19)]
121 Written evidence from HM Government (ZFP0079)
122 Ibid. The Food Security Assessment is an analysis of six separate themes of food security, one of which
is household food insecurity. It draws from a range of national and international indicators.
123 Q 21 (Lord Krebs)
124 Q 21 (Julia Gault)
Hungry for change: fixing the failures in food 39
77. The decision to measure household food security through the DWP’s Family
Resources Survey (FRS)125 was welcomed by campaigners, but concerns
were expressed that this move does not go far enough to ensure data on
food insecurity is regularly monitored and properly scrutinised. Doubts were
also expressed over the level of commitment to making this measurement
permanent. We consider that it is crucial that levels of food insecurity are
properly monitored and understood, so that the policy to address it can be
targeted effectively.
78. A number of respondents suggested that there was a distinct lack of
Government action at a policy level that deals directly with food insecurity.
Dr Loopstra and Dr Reeves from King’s College London suggested that:
“It is not clear what efforts have been made at the policy level to improve
food insecurity in the UK. Based on evidence available, it appears that
food insecurity is increasing among low income and vulnerable groups,
particularly those reliant on benefits. Changes in administration (i.e.
through the implementation of Universal Credit), harsher sanctioning
penalties, and loss of entitlements have repeatedly been identified as
drivers of food bank use. This evidence has not been acted on by the
Government.”126
79. The notion that food insecurity does not receive the dedicated attention it
required was also echoed by the University of York IKnowFood programme,
which suggested that: “the Government continues to see food insecurity as
an overseas issue, with DFID the only Department to include them in its
Single Departmental Plan.”127 The programme also highlighted that “there
is no clear ministerial accountability for combatting food insecurity in the
UK.”128
80. There were repeated calls for the Government to strengthen the evidence
base on food insecurity to help inform its evaluations of related welfare and
health policies. A number of suggestions were made as to how this might be
achieved, including:
• That poverty increases the risk of physical and mental health problems.
87. Some evidence we received was distressing and included details of people
living in appalling conditions. We were told of parents skipping meals,
lying to children and claiming that they had eaten, and children unable to
concentrate at school due to physical feelings of hunger. We heard that effects
137 Q 31 (Alison Garnham)
138 Q 31 (Helen Barnard)
139 Q 31 (Alison Garnham)
140 Written evidence from Exeter Foodbank (ZFP0059)
141 Q 31 (Helen Barnard)
142 Ibid.
42 Hungry for change: fixing the failures in food
147 Written evidence from Professor Dominic Harrison and Emma Savage (ZFP0027)
148 Written evidence from Dr Dave Beck (ZFP0001)
149 Written evidence from Dr Sinéad Furey (ZFP0019)
150 The Trussell Trust, What we do: https://www.trusselltrust.org/what-we-do/ [accessed 30 June 2020]
44 Hungry for change: fixing the failures in food
Holiday Hunger
93. Witnesses raised concerns about the levels of holiday hunger, when children
who would normally receive free school meals during term-time go hungry
during the school holidays. We were told that around 3 million children are
affected by holiday hunger.151 Garry Lemon of the Trussell Trust explained
the reasons behind this:
“When you are on such a low income, that pound or two a day that you
are now having to spend on food—which would have been free school
meals—can be utterly ruinous to people’s finances when they are already
surviving on so little.”152
94. The Government has provided some funding to address the issue of holiday
hunger, and in June 2020 it agreed to extend the National Voucher Scheme
for the 2020 summer holiday.153 We welcome these interventions and have
addressed holiday hunger in greater depth in Chapter Four: Government
Food Programmes. It is worth stating, however, that it is not acceptable that
for three million children, the only thing standing in the way of hunger is a
school meal.
95. Like the use of food banks, the prevalence of hunger during holidays is
an indication that some people in this country simply do not have enough
money to feed themselves. Food aid organisations, including holiday hunger
initiatives do excellent work (and many provide much more than food), but
they should not need to exist to ensure that people can eat. We agree with the
evidence of the Leeds Food Aid Network which said:
“It brings considerable shame on this country that we are talking about
initiatives to address holiday hunger whilst ignoring the fact we live in
a system that allows the children of the most vulnerable sectors of our
nation to face holiday hunger in the first place … Addressing poverty at
its root is the only way to ensure these initiatives, that are either costly or
rely on the goodwill of the community, are no longer required.”154
96. The need for charitable food aid is a clear sign that the welfare system
is failing to provide adequate support to people in the lowest income
groups. The Government should not be reliant on charitable food aid
to plug the holes in the welfare system.
We could not ignore these sobering statistics, or the story they told about, in
particular, the five-week wait.
98. Recipients of benefits are transferred from the old (legacy) benefits system
to Universal Credit (UC) when there is a change in life circumstance. A
minimum five-week wait applies before UC is paid to a recipient (UC is
paid in arrears, monthly). This wait comprises an assessment period of a full
calendar month, after which the pay date will be within seven calendar days.
We were told that: “It is not possible to award a universal credit payment
as soon as a claim is made, as the assessment period has to run its course
before the award of universal credit can be calculated”.156 This choice to pay
monthly benefits in arrears was described to us by the Minister for Welfare
Delivery, Will Quince MP as being “more akin to the world of work”.157 In
April 2017, around 85% of people employees received pay in monthly or four-
weekly periods,158 leaving a significant number of workers who would usually
receive weekly or fortnightly payments: the “world of work” envisaged by the
Department is not necessarily representative of the reality of many people’s
working lives.
99. In February 2019, Amber Rudd MP, the-then Secretary of State for the
Department for Work and Pensions, admitted that the five-week wait may
have led to an increased use of foodbanks.159 The Department has since
introduced an advance to cover the waiting period, which is deducted from
future payments in instalments. The Trussell Trust has described this as
presenting a choice between: “destitution now or destitution later. If you take
the advance, that money is immediately clawed back out of your already cut
and too small universal credit monthly allowance, or you forgo the advance
and fall into debt and further poverty until you can bridge that five-week
gap.”160 The wait, and the repayment of advances still creates significant
problems for the individuals receiving it.
100. Julia Gault told us that people usually begin using food banks after some
manner of life crisis.161 Our evidence showed that a five-week wait for UC
has often represented this crisis. The Exeter Foodbank stated that many new
recipients:
“Simply do not have the financial resilience to cope with the 5 week
wait between making a UC claim and receiving first payment. Sadly,
a high proportion of these new referrals go on to experience chronic
food insecurity and repeated foodbank referrals due to arrears, debts
and deductions incurred during the initial waiting period.”162
A volunteer in another food bank told us that: “every single client who has
been put on UC stated they are now in more debt than they were before…
Most are in debt to family or friends and know that even when they do get
paid, their payment won’t be enough to repay their debt.”163 It has also been
made clear that foodbanks have often recorded changes or delays to benefits
as significant drivers of usage.164
101. We welcome the proposed extension of the repayment period and a reduction
on the repayment cap—but these changes are proving insufficient. The
Government plans to extend the repayment term for advances from 12
months to 24 months, and that the standard deduction cap will be reduced
from 30% to 25%. This change will not take effect until October 2021.165
Minister for Welfare Delivery, Will Quince MP, told us that, in relation to
advances, “the repayment of that advance over a 12 month period is currently
in the region of £50 per calendar month”.166 He explained that the reduction
will further lower this to around £30 per calendar month. For many people,
however, £50 per calendar month is a significant amount of money. There is
not a “spare” £50, or indeed £30 built into the Universal Credit entitlement:
it is likely that people paying this to the Department will be going without
something. It is worth noting here that the mean average weekly household
spend on food and non-alcoholic drinks is £61.90.167
102. The House of Lords Economic Affairs Committee is conducting an inquiry
into whether UC’s design and objectives reflect the reality of life on low
incomes,168 and the House of Commons Work and Pensions Committee is
undertaking an inquiry into possible alternatives and alterations for the five-
week wait.
103. Possible alterations published in advance of the Work and Pensions
Committee’s inquiry include:
• Scrapping the five-week wait for all claimants: for example, by making
the Advance non-repayable;
163 Written evidence from Church Action on Poverty, Food Foundation, the Independent Food Aid
Network, Nourish Scotland, Oxfam GB, and Sustain (ZFP0031)
164 Written evidence from Dr Bowe, Dr Wakefield, and Nottingham Civic Exchange (ZFP0078) and
Consensus Action on Salt, Sugar and Health (ZFP0053)
165 Supplementary written evidence from HM Government (ZFP0098)
166 Q 129 (Will Quince MP)
167 Office for National Statistics, Family spending in the UK: April 2018 to March 2019: https://www.ons.
gov.uk /peoplepopulationandcommunity/personalandhouseholdfinances/expenditure/bulletins/
familyspendingintheuk/april2018tomarch2019 [accessed 30 June 2020]. Mean average weekly spend
equal to the total reported weekly expenditure of households divided by the number of households.
168 Economic Affairs Committee, ‘The economics of Universal Credit inquiry’: https://www.parliament.
uk/economics-universal-credit [accessed 30 June 2020]
169 Work and Pensions Committee, ‘Universal Credit: the wait for a first payment’, : https://committees.
parliament.uk/work/135/universal-credit-the-wait-for-a-first-payment/ [accessed 30 June 2020]
Hungry for change: fixing the failures in food 47
104. The five-week wait for Universal Credit presents acute difficulties
and requires urgent overhaul. While we cannot anticipate the
findings of two Parliamentary reports dedicated to this topic, the
Government must fully respond to the reports of both Committees.
A replacement scheme must have regard to:
• The affordability of food. Some research has shown that healthy food
is three times as expensive as less healthy food, calorie for calorie. The
Government’s guidance on healthy diets—the Eatwell Guide—was
said to be unaffordable for many families (including those receiving
universal Credit). Healthy food can also carry a higher risk of waste,
resulting in a greater financial risk than unhealthier foods.
that for some, accessing food shops was expensive or difficult, as they
might have to travel by car or expensive public transport, to avoid
this many are limited to small convenience shops where prices can be
higher.
Transport: £80.20
Alcoholic drink,
tobacco and
narcotics:
£13.00
Clothing and
Housing, fuel and power: Restaurants and hotels: footwear: Health:
£79.40 £51.30 £24.40 1 £8.00 2
1. Edible ices [lollies] and ice cream: £0.80 7. Sugar and sugar products: £0.40
2. Confectionary products: £0.80 8. Pasta: £0.40
3. Margarine, other vegetable fats and peanut butter: £0.60 9. Cooking oils and fats: £0.30
4. Lamb (fresh, chilled or frozen): £0.60 10. Jams, marmalades: £0.30
5. Other fresh, chilled or frozen fruits: £0.50 11. Preserved fruit and fruit-based products: £0.20
6. Pork (fresh, chilled or frozen): £0.50 12. Dried vegetables: £0.10
Source: Office for National Statistics, Family spending in the UK: April 2018 to March 2019, (19 March 2020):
https://www.ons.gov.uk/peoplepopulationandcommunity/personalandhouseholdfinances/expenditure/bulletins/
familyspendingintheuk/april2018tomarch2019 [accessed 30 June 2020] Figure totals £56.60 and excludes £5.30
spent on non-alcoholic drinks.
182 Written evidence from Professor Dominic Harrison, Director of Public Health and Emma Savage,
Speciality Registrar in Public Health, Blackburn with Darwen Council (ZFP0027)
183 The Food Foundation, Affordability of the UK’s Eatwell Guide (September 2018): https://foodfoundation.
org.uk/wp-content/uploads/2018/10/Affordability-of-the-Eatwell-Guide_Final_Web-Version.pdf
[accessed 30 June 2020]
52 Hungry for change: fixing the failures in food
118. NHS analysis of this report commented that because healthier foods tend to
have a much lower energy density than less healthy foods, cost comparison
on the basis of calories may not always give a realistic comparison of food
you want to buy—a packet of ginger biscuits will give you around the same
number of calories as 30 cucumbers.184
Raisins
Potatoes
C hopped
t o m at o e s
Whole
grain Cous
cereal Cous
Frozen Bagels
peas Whole
wheat
pasta
Porridge
Rice
Lentils
Beans
lower
salt
and
L o w f at
s o f t c h ee s e Spaghetti
s ugar
Tuna
n
Lea ince
Plain Chick m
nuts peas
Semi
skimmed Soya
milk drink
Crisps
Beans, pulses, fish, Dairy and
eggs, meat and alternatives
other proteins
184 NHS, ‘Healthy foods expensive’ claim is unrealistic’, (October 2014): https://www.nhs.uk/news/food-
and-diet/healthy-foods-expensive-claim-is-unrealistic/ [accessed 30 June 2020]
185 NHS, The Eatwell Guide: https://www.nhs.uk/live-well/eat-well/the-eatwell-guide/ [accessed 30 June
2020]
Hungry for change: fixing the failures in food 53
186 Peter Scarborough, Asha Kaur, et al., ‘Eatwell Guide: modelling the dietary and cost implications
of incorporating new sugar and fibre guidelines’, British Medical Journal Open, doi:10.1136/
bmjopen-2016013182 (November 2016): https://bmjopen.bmj.com/content/bmjopen/6/12/e013182.
full.pdf
187 Ibid.
188 Ibid.
189 The Food Foundation, Affordability of the UK’s Eatwell Guide, (September 2018) p 5: https://
foodfoundation.org.uk/wp-content/uploads/2018/09/Affordability-of-the-Eatwell-Guide_Final_
Web-Version.pdf [accessed 30 June 2020]
190 Written evidence from the Food Foundation, London School of Hygiene and Tropical Medicine and
Sustainable and Healthy Food Systems (SHEFS) (ZFP0073)
191 The Food Foundation, Affordability of the UK’s Eatwell Guide, (September 2018): https://foodfoundation.
org.uk/wp-content/uploads/2018/09/Affordability-of-the-Eatwell-Guide_Final_Web-Version.pdf
[accessed 30 June 2020]
192 Ibid.
193 Written evidence from the Food Foundation, London School of Hygiene and Tropical Medicine and
Sustainable and Healthy Food Systems (SHEFS) (ZFP0073)
194 Written evidence from Nourish Scotland (ZFP0064)
54 Hungry for change: fixing the failures in food
124. For many in low income groups, meeting the costs of the Eatwell Guide
is unrealistic. Given the sizeable proportion of disposable income
that many in lower income groups would have to spend to meet the
recommendations of the Eatwell Guide, it is wholly unsurprising that
so few people are doing so.
125. The Food Foundation argued that any approach to formulating an
overarching strategy for the food system must be underpinned by an accurate
understanding of what a healthy and sustainable diet is and what it costs.
Evidence from the Food Foundation, LSHTM and SHEFS argued that
the government’s dietary guidelines, and its assessment of what a healthy,
sustainable diet costs, should be given a legal status and should be updated
annually. It was suggested that this could have two key outcomes:
(a) That a fuller understanding of the cost of healthy, sustainable diets
could be used as a reference point for other government interventions.
It was suggested, for example, that the cost of diet could be factored
into calculations in other policy areas, such as calculating welfare
payments, the level of the minimum wage, school meal provision, or
hospital food, for example.195
(b) By having a clear vision of what a healthy and sustainable diet is, it
was suggested that the Government could set standardised health
and sustainability targets and require business to report against them,
using this data to drive improvements and cross-government action in
a multitude of areas.196
Anna Taylor, Executive Director at the Food Foundation, explained that:
“ … we must have a notion of what a healthy and sustainable diet is
and what it costs. That, in turn, should feed through to other areas of
government intervention.”
“You would then ensure that the budget that you are allocating to school
meals makes reference to the fact that you have that in place. You would
make sure that your public procurement of food across the piece made
reference to that. You would think about it in respect of minimum wage
levels and, therefore, the cost of diet in relation to the cost of living. In
other words, you create a reference point against which it feeds through
to other areas of policy. Similarly, of course, you would make sure that
benefit levels were sufficient to cover the cost of eating a healthy diet.
At the moment, we have gross discrepancies, particularly for the poorest
20% of the population, where it becomes extremely difficult to afford a
healthy diet. We need something in place to protect those households,
in particular.”197
126. We were convinced by the argument that the Government needs a reference
point to use to co-ordinate its approach to ensuring everyone has access to
a healthy and sustainable diet, and to ensure that this aim is embedded into
related policy decisions.
195 Written evidence from the Food Foundation, London School of Hygiene and Tropical Medicine and
Sustainable and Healthy Food Systems (SHEFS) (ZFP0073)
196 Ibid.
197 Q 2 (Anna Taylor)
Hungry for change: fixing the failures in food 55
127. The Government should be fully aware of the cost of eating the diet
it recommends, and the ability of different demographic groups
to access this diet. To underpin any national food strategy, the
Government must, in its 2021 review of benefits rates, commit to
giving its dietary guidance—the Eatwell Guide—a firm place in the
development of policy.
128. Written evidence from the Government stated that income-related benefit
rates: “Derive from a review in the 1980s”198 rather than being based on a
“single mathematical calculation or historic set of rules.”199 This means that
benefits are not based on an understanding of how much things cost or a
representative household budget. Julia Gault confirmed this and stated that:
“we do not say, ‘We are assuming you are going to spend this much money
on food and this much money on other things’”.200
129. Given the enormous economic cost to the NHS and wider society of failing
to encourage healthy diets, we find it puzzling that the Eatwell Guide is
not used by the Government in the calculation of benefit payment rates.
Ensuring that the large (and, recently, dramatically increasing) number of
people in receipt of universal credit are able to afford a healthy diet could
be a sensible economic step. If the benefits system does not take account of
the cost of a healthy diet; it is not clear how households receiving Universal
Credit can achieve it.
130. We accept the premise that the benefits system must not prescribe how people
budget their money. Household spend is a matter for individual households
to decide. It is also clear that cost is not the sole issue in access to a healthy
diet: many households who can afford to consume according to the Eatwell
Guide do not do so. There is no guarantee that a rise in benefit rates to
incorporate the cost of a healthy diet would result in households deciding
to spend it on healthy food. However, in order for households to meet the
Eatwell recommendations, they have to be able to afford it.
131. The Eatwell Guide is, as the name suggests, guidance. It is not included,
for example, in calculations on social policy. The Eatwell Guide is currently
nothing more than an aspiration; and as a nation, we are comprehensively
failing to reach it. Anna Taylor argued strongly for: “a set of metrics in law
against which we track national progress that embed the Eatwell Guide
within them.”201 She argued that embedding the Eatwell Guide in social
policy, including in the benefits system, would provide some protection to
the poorest families.
132. The Government should embed consideration of the cost of the
Eatwell Guide into calculations of benefit payment rates.
133. We recommend that the Government should undertake a fuller
assessment of the cost of a healthy and sustainable diet. The cost of
the Government’s dietary guidance should be built in as a reference
point to consideration of government interventions, including those
relating to welfare and public food provision.
cakes or sugary drinks is much more financially realistic than many other,
non-food items that children ask for.
140. For many, particularly those in the lowest income groups, food
choices are about whether they will produce a feeling of being satiated.
Choices made by people in lower income groups to prioritise food that
is reliably satiating and prevents waste over a nutritionally balanced
diet should be understood as a reasonable response to the economic
reality they face.
146. Bags of Taste also pointed out that: “If you don’t have a car, carrying
shopping for a week or for a family is hard and even if public transport is
available and affordable (which it often isn’t) it requires you to shop little
and often.”216 Travelling several times per week to shops therefore requires
a higher time investment for those on a lower income, and, again, results
in smaller quantities being purchased and therefore fewer savings. There is
also, of course, the cost of the transport.
147. By themselves, none of these difficulties are necessarily insurmountable, but
together they make the processes of purchasing and preparing food much
more difficult and less rewarding. Arguably, very few of these barriers apply
for those on higher incomes.
‘Emotional bandwidth’
148. The impact of food insecurity on emotional wellbeing and mental health was
emphasised by our evidence. Birmingham Food Council CIC told us that:
“Some costs are intangible, including those related to pain and suffering,
poor quality of life and emotional distress.”217 The emotional impact of
food insecurity was echoed by other contributors and is also supported by
academic research. A Cambridge University study found that there was a
“persisting association between high self-reported stress … specific to [food
insecurity], over and above socio-economic deprivation.”218
149. We were told that poverty can reduce ‘emotional bandwidth’ rendering it
incredibly difficult to focus past immediate needs. Helen Barnard explained
further:
“Living in constant anxiety about money affects the way that you think
about everything else. There is a tunnel vision that people get: if you
are really anxious and worried about things, you will psychologically
focus in on a very small number of crucial things, such as keeping a roof
over your head or wanting your kids to go to bed feeling full. There is
some psychological research where they tested out inducing anxiety and
seeing what it did to decision making—and what it does is narrow your
focus because those things that you are focusing on cannot fail. It also
reduces the bandwidth that you have to be able to look across lots of
different options and start trading them off.”219
Exeter Foodbank told us that:
“[many people accessing foodbanks] are in crises (including relationship
breakdown, redundancy, insecure accommodation, acute financial
need or chronic ill health) which place their emotional and mental
resources under strain. Under such stressful conditions, many lack
sufficient capacity to acquire new skills or consider making long-term
lifestyle changes; all available energies centre on addressing much more
urgent, survival issues at hand. Eating can become low priority—a mere
216 Ibid.
217 Written evidence from Birmingham Food Council CIC (ZFP0057)
218 Amy Yau, Martin White, et al; ‘Socio-demographic characteristics, diet and health among food
insecure UK adults: Cross-sectional analysis of the International Food Policy Study’,. Public Health
Nutrition, 1-13. doi:10.1017/S1368980020000087 (27 April 2020): https://www.cambridge.org/
core/journals/public-health-nutrition/article/sociodemographic-characteristics-diet-and-health-
among-food-insecure-uk-adults-crosssectional-analysis-of-the-international-food-policy-study/
B6B5A7E104B8565AFF6A3DB8C0FBEF60/core-reader
219 Q 34 (Helen Barnard)
Hungry for change: fixing the failures in food 59
The person following well-meant advice to prepare vegetable soup may, first,
have to persuade the family that the dish will be enjoyable.
A person following this advice may look up a recipe. They may not have access
to recipe books, so spend time looking at internet recipes, which can be fairly
inaccessible.
There are new ingredients in the recipe, such as stock and possibly flavourings
which the person would have to purchase. With a more complicated recipe,
some ingredients may not be available in the local shop. Having spent time
discovering this, the person may have to go to a different shop further away,
taking longer, and possibly incurring transport costs.
If the ingredients are available in the local shop, these ingredients are likely only
to be available in small quantities (thus decreasing the value for money). We
were told that the cost of the ingredients of a new meal without a “middle class
store cupboard” was estimated at £15.221
While looking for perhaps unfamiliar ingredients, the person shopping will have
to ignore other temptingly displayed options, or price promotions. These are
likely to be less healthy foods, but foods that the family may have tried before. If
shopping with children, the person may have to ignore “pester power”.
The kitchen equipment required for the recipe (weighing scales, knives, peelers,
ovens, stoves) may be unavailable or inadequate, making the process more
difficult or perhaps impossible.
Following a new recipe, particularly if not familiar with cooking generally, can
be stressful and time-consuming.
If the soup goes wrong, is unpopular with the rest of the household, or simply
doesn’t taste good, the household may want to eat something else. Thus, two
meals have been paid for and the time, money and energy spent on the original
meal has been wasted. The remaining ingredients may also go to waste. Hungry
children or growing teenagers may not feel full having eaten soup, so may want
to eat something else.
Separately, these difficulties are not insurmountable. Combined, however, they
represent a real barrier to accessing a healthy diet. When there are so many easy,
cheap and reliable alternatives available, this process is a distinctly unappealing
proposition.
221
152. The food environment encompasses every factor which could affect an
individual’s food choices. It includes, but is not limited to, the physical
presence of different types of food outlets and the physical layout of outlets,
the marketing and advertising of foods, and the information provided to
consumers.
153. Witnesses emphasised the power of the food environment in influencing
consumer choices. Alex Holt, Programme Lead at Food Active, described
the need to ensure that: “We have healthier places to live”.222 Mark Laurie,
Director of the Nationwide Caterers Association, summed up the power of
the food environment on food choices and posed a challenge to change it:
“People eat what is in front of them that day. You need to put an option
in front of them. People do not choose unhealthy food out of spite; they
choose it because that is what they know, that is what they can afford
and that is what is in front of them.”223
154. We heard repeatedly that the current food environment is set up in such
a way as to encourage people to make less healthy choices, and that this is
largely due to the fact that less healthy choices are simply more profitable
for the food industry. We also heard that additional factors contribute to an
unhealthy food environment, including that:
Tom Andrews from Sustainable Food Cities highlighted the increased profit
margins that can be made on processed foods as compared to primary
produce: “The whole basis of the food industry is predicated against low-
processed food. There is no money in selling a head of broccoli. There is
money only in high-level processing, which is about value added, and in very
significant packaging, because it is about selling.”224
158. That profit is the key driver of the food industry is economically obvious—
but this is generally achieved through selling less healthy food. The Food
Foundation has suggested that: “46% of food and drink advertising goes on
confectionary, sweet and savoury snacks and soft drinks; while only 2.5%
goes on fruit and vegetables.”225 Similarly, there is a highly uneven spread of
product price promotions and prominent product placement on less healthy
products.
159. The food environment actively and effectively encourages unhealthier
choices because there is a powerful commercial incentive for the food
industry to ensure that people purchase highly processed products.
160. There are some examples of excellent industry behaviours, but these are
largely based on competitive advantage and appear to form the minority.
Tom Andrews talked about the Food for Life catering mark which
encourages caterers to provide better quality because: “it gives them a point
of difference”.226 Clearly, this possible advantage is not currently working at
scale, but it is encouraging.
161. Professor Jebb told us that there was a market failure: “a failure in food
delivering for health, food delivering for social justice and food delivering for
the environment. What that does is to make the case for some substantive
intervention by government in the system.”227
164. We were also told that outlets which largely sell less healthy food are likely
to be concentrated in lower income areas. Dr Vogel told us that in one lower
income area in Hampshire: “For more than 2,000 food outlets we mapped,
we found that 43% were fast-food outlets and independent takeaways.
Big and small supermarkets made up only 11.5% of the area, and healthy
specialty stores such as greengrocers made up only 6.5%.”229 Tom Andrews
linked this to the incidences of health inequalities and food insecurity:
“health inequalities and the incidence of food poverty map perfectly on to
income inequalities, if you look at a map of the UK. They also map on to
the distribution of fast-food outlets and takeaways.”230 It is self-evident that
if these outlets are more concentrated in more deprived areas, consumption
of these foods will be higher in these places.
165. The food environment has a substantially more negative impact
on lower-income groups than their wealthier counterparts, and
therefore directly contributes to rising health inequalities.
This report welcomed the Government’s proposals for change, calling for
full implementation, but argued that more action was required to meet the
2030 ambition to halve childhood obesity. Throughout our report, we have
taken the same view.
A critical consensus
169. Our evidence was overwhelmingly of the view that while the steps proposed
by the Government in their action plans could have value, they were, as
proposed, insufficient. There was also scepticism of the Government’s
commitment to implementing them, with witnesses citing inaction and a
plethora of long-closed consultations.
170. There was a clear consensus that Government action in this sphere had been
limited. Kate Halliwell, Head of UK Diet and Health Policy at the Food and
Drink Federation, said that: “there have been a lot of announcements and
not necessarily the follow-through from those announcements”235, and Dr
Hilda Mulrooney, Associate Professor in Nutrition at Kingston University
said on behalf of the Obesity Group of the British Dietetic Association that:
“We are stuck in a limbo land”.236 We agree entirely.
171. Proposals in the obesity plan were generally welcomed, so far as they go.
There was agreement across our evidence that the Government is working
along the right lines, but that its proposals neither go far enough, nor are
being progressed quickly enough. Professor Jebb reflected the position of the
large majority of our evidence:
“the Government are talking really tough on obesity and there is lots of
discussion, and that is good, but it is not enough. Action is still far too
slow. Most of the childhood obesity plans have said, “We will consult
on”, “We will discuss”, “We will consider”, or, “We will think about”.
Many of those consultations have been out and closed months and
months ago. There is simply no apparent sense of urgency… All the
things they have done are good, but they are not nearly enough, and
they are not being done at a pace and with a sense of urgency that is
anywhere near the scale of the challenge.”237
172. Several witnesses expressed frustration at the number of closed consultations
where the Government had not yet published a summary of responses.
Written evidence from the Ministers said that “we will be setting out our
responses as soon as we can”.238 Jenny Oldroyd, Deputy Director of Obesity,
Food and Nutrition at the Department of Health and Social Care, explained
that some of the delay is due to processing times for consultation responses:
“We have had over 6,000 responses to the consultations on national
policies. To be clear, that is not campaigns, so those are not responses
where we can tick off a few hundred as one part of the campaign; they
are responses that engage with the detail of the impact assessments that
we have put out.”239
240 Public Health England, Calorie reduction: the scope and ambition for action (March 2018): https://
assets.publishing.service.gov.uk/government/uploads/system/uploads/attachment_data/file/800675/
Calories_Evidence_Document.pdf [accessed 30 June 2020]
241 Department of Health and Social Care, Consultations: Ending the sale of energy drinks to children,
(Updated November 2018): https://www.gov.uk/government/consultations/ending-the-sale-of-
energy-drinks-to-children [accessed 30 June 2020]
242 Department of Health and& Social Care, Consultations: Calorie labelling for food and drink served outside
of the home, (Updated October 2018): https://www.gov.uk/government/consultations/calorie-labelling-
for-food-and-drink-served-outside-of-the-home [accessed 30 June 2020]
243 Department of Health and Social Care, Consultations: Restricting promotions of food and drink that is high
in fat, sugar and salt, (Updated April 2019): https://www.gov.uk/government/consultations/restricting-
promotions-of-food-and-drink-that-is-high-in-fat-sugar-and-salt [accessed 30 June 2020]
244 Department of Health and Social Care and Department for Digital, Culture Media & Sport,
Consultations: Further advertising restrictions for products high in fat, salt and sugar, (updated 7 June 2019):
https://www.gov.uk/government/consultations/further-advertising-restrictions-for-products-high-in-
fat-salt-and-sugar [accessed 30 June 2020]
245 Department of Health and Social Care, Consultations: Updating the government buying standards for food
and catering services (GBSF): (updated August 2019): https://www.gov.uk/government/consultations/
updating-the-government-buying-standards-for-food-and-catering-services-gbsf [accessed 30 June
2020]
66 Hungry for change: fixing the failures in food
246 Cabinet Office and Department of Health and Social Care, Advancing our health: prevention in the
2020s, (Updated October 2019): www.gov.uk/government/consultations/advancing-our-health-
prevention-in-the-2020s [accessed 30 June 2020]
247 Q 125 (Jo Churchill MP)
248 Professor Dame Sally Davies, Time to Solve Childhood Obesity. An Independent Report by the Chief
Medical Officer (2019): https://assets.publishing.service.gov.uk/government/uploads/system/uploads/
attachment_data/file/837907/cmo-special-report-childhood-obesity-october-2019.pdf [accessed 30
June 2020]
Hungry for change: fixing the failures in food 67
Value
182. The value of the vouchers is perhaps the scheme’s most concerning deficiency.
They are currently worth (depending on the age of the child) either £6.20
or £3.10 per week. We were told that the value of the vouchers, which are
not linked to inflation and have not risen since 2009, is far too low. It was
described by Shirley Cramer, Chief Executive of the Royal Society for Public
Health as: “a tiny amount”.256 It was suggested that this does not even cover
the basics: we were told that it does not cover the current costs of infant
formula.257
183. The Government has told us that the value of the voucher is kept under
continuous review.258 While sensible additions have been made to the list of
products one can buy, and to how the scheme works, the fact remains that
the value of the voucher has not changed since 2009, and so its value in real
terms has decreased. If linked to inflation, at an average of 3.1% per year
between 2009 and 2019, the vouchers would now be worth either £8.37 or
£4.18 per week; a sizeable difference from the current amount of £6.20 or
£3.10.259 Healthy Start’s website says that the scheme: “helps you give your
family the very best start in life”. £3.10 per week does not seem sufficient to
meet this objective.
184. The value of the Healthy Start vouchers is insufficient. The vouchers
must immediately be uprated. This uprating should be substantial,
but as an absolute minimum it should enable recipients to purchase
the same amount of food that could be purchased in 2009, when the
scheme began. The amount must be linked to the Consumer Price
Index thereafter.
status).260 We were told that eligibility has: “Declined by 30% since 2011
with less than half of children in poverty meeting the criteria”.261 This is
extremely worrying and warrants a thorough review.
186. In January 2018, take-up was 66%, a decline of 14% since 2011.262 In 2019, it
was 64%, with at least 135,671 eligible families not applying for Healthy Start
vouchers.263 Reasons outlined by a series of reports for this low take up rate
point to difficulty registering due to complicated application and acceptance
processes, a lack of clarity about the scheme, and difficulty engaging with it.264
187. Nicky Dennison, Public Health Specialist at Blackpool City Council,
explained that uptake is poor: “because of the bureaucracy that clients and
our population have to go through. They have to complete forms and show
proof, which they do not always have with them when they come.”265 Dr Katie
Cuming, Public Health Consultant at Brighton and Hove City Council, said
that: “It is nearly always the logistics of getting the health professional to sign
the form and the fact that the vouchers arrive by post”.266
188. Our witnesses echoed the reports of the First Steps Nutrition Trust267 and
Feeding Britain268 on this subject; the best way to increase take-up of this
scheme is to remove the levels of bureaucracy. Public health professionals
working in local authorities expressed a strong desire for a system that was:
“easier to administer… the need to get the health professional’s signature
and the fact that paper vouchers arrive, particularly in buildings or houses
that are communal, is a very difficult way for families to do it… Any of those
barriers being removed would be great.”269
189. In addition to the sensible additions the Government has made to what
one can buy, we welcome the Government’s commitment to digitising
the vouchers. We await reports on how effectively this will: “offer greater
convenience and flexibility”270 in using the vouchers, but caution that reform
of the application process is equally essential.
190. There was a strong argument for raising awareness of the scheme at both
local and national level as a lack of awareness was repeatedly cited as a
Reform
191. It appeared to us that everyone well acquainted with the scheme recognised
its limitations. A joint submission from Church Action on Poverty, the Food
Foundation, Nourish Scotland, Oxfam and Sustain said that: “Improving
the scheme requires expanding eligibility criteria, starting with those on
Universal Credit, increasing the voucher value, and introducing a programme
to ensure all those who are eligible benefit.”274 This is a long list of changes
and we are inclined to agree with evidence from First Steps Nutrition Trust
which argued that: “numerous difficulties with the scheme mean it needs
root and branch reform”.275
192. It appears that the Government has recognised these concerns. In Chapter 2
of the Government’s Childhood Obesity Plan, the Government committed
to consult on plans to use Healthy Start vouchers to provide additional
support to children from families on lower incomes.276 This consultation has,
as of June 2020, yet to appear. In response to a parliamentary question, Jo
Churchill MP, Parliamentary Under-Secretary at the Department of Health
and Social Care, stated that the Government has postponed the consultation
until after the UK’s exit from the European Union, but is “considering a range
of options” for consultation.277 We have been told that work is underway to:
“make it easier to apply for the vouchers and easier to spend the vouchers in
store”.278 This work includes digitising the vouchers and extending the range
of products which can be purchased with them: it has preceded the delayed
consultation, and will not address the value of the vouchers.
193. As it stands, the Government is two years behind on its commitment: it seems
that it is consulting on how to consult on its plans to reform the scheme.
194. Comprehensive reform of the Healthy Start Scheme is long overdue.
The Government must release a wide-ranging consultation
addressing “root and branch” reform before the end of 2020 and
appoint a Healthy Start champion to raise awareness of the scheme
among individuals and retailers.
All infant students (from reception to year two) are entitled to free school
means under Universal Infant Free School Meals (UIFSM). Serious
concerns were raised with us about these schemes and their implementation,
including concerns about eligibility criteria, adherence to standards, and the
low value of the meals grant to schools. Two witnesses also raised serious
concerns about unclaimed money “going missing”.280 Anna Taylor described
the operation of FSM as: “bad implementation of what on paper is a good
programme”.281
196. Following the COVID-19 outbreak, the Government issued guidance which
states that schools are expected to continue to provide support. It outlines
different approaches that could be taken through food parcels from existing
providers. Where current provision cannot be extended in this way, the
Department for Education has developed a centrally funded voucher scheme
to be used at supermarkets.282 At the time of writing, the Department was
unable to confirm how many vouchers had been delivered in a useable form,
or how many eligible children had been registered.283
Funding
197. Since 2011, school meals (except UIFSM) have been funded through central
funding for schools (the Dedicated Schools Grant).284 It is for the schools
to make their own decisions about the use of this funding. UIFSM, which
encompasses 1.5 million infants in England285 is funded by a separate grant
under the Education Act 2002.286
280 Q 47 (Professor Greta Defeyter). See also Q 5 (Anna Taylor)..
281 Q 5 (Anna Taylor)
282 Department for Education, Coronavirus (COVID-19): free school meals guidance for schools, (30 April
2020): https://www.gov.uk/government/publications/covid-19-free-school-meals-guidance/covid-
19-free-school-meals-guidance-for-schools [accessed 30 June 2020]. In June 2020 this scheme was
extended to cover the 2020 summer holiday.
283 BBC, Coronavirus: Families still waiting for free school meal vouchers, (30 April 2020): https://www.bbc.
co.uk/news/education-52488208 [accessed 30 June 2020]
284 House of Commons Library, School meals and nutritional standards (England), Briefing Paper 04195,
January 2020
285 HC Deb, 4 February 2019, col 10
286 Education and Skills Funding Agency, Universal infant free school meals (UIFSM): conditions of grant
2019 to 2020 (June 2019): https://www.gov.uk/government/publications/universal-infant-free-school-
meals-uifsm-2019-to-2020/universal-infant-free-school-meals-uifsm-conditions-of-grant-2019-
to-2020 [accessed 30 June 2020]
72 Hungry for change: fixing the failures in food
198. To cover an anticipated increase in the number of pupils eligible for FSM
“before the lagged funding system catches up”287 the Government issued a
school-level meal cost grant for the 2018–19 and 2019–20 academic years.
This is, annually, £440 per additional pupil, or £2.30 per day.288 It was made
extremely clear to us that this amount of money is insufficient, both for the
schools, and for the children.
199. Schools often allocate this money to pupils themselves via a card payment
system, allowing students to choose what they spend the money on. Research
by the Child Poverty Action Group has found that, often, the value does not
cover the cost of a full meal:
“When you talk to children in schools, they tell you that it is not enough
to buy a full meal with: it will buy you a main course and a drink or
a pudding and a drink, but you cannot get all three. So, while other
children around you are having the lot, children on free school meals
are not; they are having a very reduced calorie intake by comparison”289
The Government’s written evidence stated that it was supportive of schools
which made the same meal offer available to all students. It agreed that this
was important, both for reasons of nutrition and social wellbeing.290 Our
evidence suggests that schools are not always achieving this: it is important
that the Government remain committed to ensuring that all pupils, regardless
of household income, can access nutritious food at school.
200. The National Voucher Scheme was set up to provide money for food during
school closures to parents whose children would ordinarily receive free school
meals. The value is £15 per child per week, as opposed to the £11.50 which
would ordinarily be paid to the school. This appears to be the Government’s
assessment of the cost of providing five lunches. Funding must remain at this
rate. In anticipation of the response that schools can benefit from economies
of scale where parents cannot, it is likely that this is more than outweighed
by the costs to the school (and not to the parent) of staffing, equipment,
facilities and transport. The funding provided by the Government to cover
free school meals does not appear to fulfil the costs to the school of providing
them. This is supported both by a report from the IFS and a leaked 2016
report commissioned by the Government, both of which found that there is
pressure on school’s budgets.291
201. The decision to increase the funding for lunches during school
closures is welcome. The value cannot be allowed to regress once
children return to school. The allowance allocated to schools for free
school meals must be uprated to at least the level provided during
the school closures and linked to inflation thereafter.
287 Department for Education, Free school meals supplementary grant (July 2018): https://assets.
publishing.service.gov.uk/government/uploads/system/uploads/attachment_data/file/731589/FSM_
Supplementary_Grant_Guidance.pdf [accessed 30 June 2020]
288 Q 40 (Professor Greta Defeyter)
289 Q 34 (Alison Garnham)
290 Supplementary written evidence from HM Government (ZFP0098)
291 Institute for Fiscal Studies, Universal free school meals are back on the table, (5December 2019): https://
www.ifs.org.uk/election/2019/article/universal-free-school-meals-are-back-on-the-table [accessed 30
June 2020] and The Guardian, Free school meals ‘putting pressure on small schools’ budgets, (31 August
2016): https://www.theguardian.com/education/2016/aug/31/free-school-meals-putting-pressure-
small-schools-budgets-uk [accessed 30 June 2020]
Hungry for change: fixing the failures in food 73
Eligibility
202. In primary schools, 15.8% of pupils are known to be eligible for, and claiming,
free school meals. In secondary schools, it is 14.1%.292
203. Prior to April 2018, all claimants for Universal Credit were eligible for FSM.
This was changed in 2018 to target those households with a net annual
income of below £7,400 or who are on some of the legacy benefits. It has
been found that under these proposals, slightly more children from low-
income households will be eligible under the UC system—an increase of
50,000 children.293
204. There will be, however, a significant number of children excluded who
would previously have been eligible. Though there are protections in place
for existing claimants until Universal Credit is fully rolled out, the IFS study
found that “About 160,000 (13%, or 1 in 8) of the 1.3 million children who
would have qualified under the legacy system will find themselves ineligible
under UC.”294
205. There was some concern that the eligibility criteria for FSM are too tight,
excluding many who need this support. Alysa Remtulla, Head of Policy and
Campaigns at Magic Breakfast, stated that: “the current eligibility criteria
are becoming an increasingly unreliable determinant of need”.295 This is
supported by a review by the Institute for Fiscal Studies (IFS) which found
that under the Government’s plans: “only about half of children in the
poorest fifth will be entitled to FSMs.”296
206. We recommend that the Government outlines how it intends to
mitigate the impact that their eligibility proposals will have on those
families who will lose eligibility for free school meals.
207. There have been some calls for free school lunches to be extended to
every child.297 Dr Mary Bousted, Joint General-Secretary of the National
Education Union, stated that a policy of universal free school meals would
“end what our members report as the stigma for children who get free school
meals.”298
292 Department for Education, Schools, pupils and their characteristics, (27 June 2019): https://assets.
publishing.service.gov.uk /government /uploads/system/uploads/attachment_data/f ile/812539/
Schools_Pupils_and_their_Characteristics_2019_Main_Text.pdf [accessed 30 June 2020] l
293 Institute for Fiscal Studies, Free school meals under universal credit (April 2018): https://www.ifs.org.uk/
uploads/publications/bns/BN232.pdf [accessed 30 June 2020]
294 Ibid.
295 Q 39 (Alysa Remtulla)
296 Institute for Fiscal Studies, Free school meals under universal credit (April 2018): https://www.ifs.org.uk/
uploads/publications/bns/BN232.pdf [accessed 30 June 2020]
297 Sustain, Free School Meals for All: https://www.sustainweb.org/childrensfoodcampaign/free_school_
meals/ [accessed 30 June 2020]
298 Q 39 (Dr Mary Bousted)
74 Hungry for change: fixing the failures in food
208. Witnesses cited evidence on the impact of UIFSM, which has generally been
positive, to argue for extending school meal eligibility criteria. Professor
Defeyter stated that: “The take-up in that scheme has been phenomenal,
and all the research reports suggest that it has reduced the stigma. More
importantly, it is teaching our children good skills around what they
consume”.299 An evaluation of UIFSM published in January 2020 also
pointed to positive health outcomes. The study found that: “those exposed to
UIFSM have significantly better bodyweight outcomes then they otherwise
would, in terms of being more likely to be [a] healthy weight (1.2 percentage
point by the end of the school year), less likely to be obese (0.7 percentage
points) and have a lower BMI”.300
209. The use of evidence currently available as a basis for extending FSM is
problematic. The witnesses advocating for extended entitlement of FSM
acknowledged that the research on the impact of UIFSM had been somewhat
limited. Professor Defeyter acknowledged that the research around UIFSM
is “patchy” and that there had not been “proper modelling”.301 This was
reinforced by an IFS report costing Labour and Liberal Democrat election
pledges to extend school meal entitlement. It outlined some weaknesses in
the evidence base, concluding that while there had been some research to
indicate a link to attainment: “It’s not yet clear whether these policies would
have big further benefits for children’s attainment or health.”302
210. There has been some study on the cost implications of different proposals
to extend eligibility for FSM. In the 2019 general election, the Labour party
initially proposed extending free school meals to all primary school children.
The IFS estimated that, in 2024, this proposal would cost £850 million in
today’s prices.303 A proposal by the Liberal Democrats (and later the Labour
party) to extend FSM to all secondary school pupils whose family receive
universal credit was estimated at costing between £280 million and £310
million. Coupled with the cost of universal primary free school meals also
proposed by the Liberal Democrats, this could cost between £1.1 and £1.2
billion.304
211. We fully agree with Professor Defeyter’s view that the high costs of extending
FSM have to be offset with the longer term gain305 but there has not been
sufficient modelling of the impacts of FSM to establish what the longer term
gain would be.306 We cannot yet recommend it on the basis of long term
health benefits.
212. We recommend that the Government must undertake rigorous
research on the impact of Universal Infant Free School Meals on
health and attainment outcomes and use the results of this evidence
base to inform future policy on school meals, including breakfasts.
Missing money
213. One financial concern was raised by Anna Taylor and Professor Defeyter,
who drew our attention to money for FSM that was: “going missing”.307
When pupils miss a day of school, or for some other reason do not use the
money on their cashless lunch card, this money is not returned to the child.
214. Anna Taylor referred to this money being taken from the child and: “absorbed
into the coffers.”308 Referring to a study she had conducted with Feeding
Britain, Professor Defeyter told us that: “there is approximately £88.3
million per annum in the system going missing. Nobody, including the DfE,
seems to quite know where that money is.”309 No information is collected by
Government on this matter.310
215. Sarah Lewis, Director, System Leadership and Strategy (Early years and
schools) at the Department for Education, said that recuperating and
redistributing this money was a decision for school administrations:
“Schools have the ability to give that money back to the children if they
wish. We do not say they have to because free school meals are not a
cash benefit for that individual child. It is money overall that is given
to schools so they can ensure that children can access free school meals
while they are in school. It is just set up in a different way.”311
216. It is not possible to exclude the possibility that some of the funding may
therefore be lost to schools. Many schools have financial arrangements with
the local authority, or with private caterers to provide school meals. The
estimates we heard vary from £70 million312 to £88 million,313 but whatever
the true figure, it is something which the Government should investigate
further.
304 Ibid.
305 Q 39 (Professor Greta Defeyter)
306 Institute for Fiscal Studies, Universal free school meals are back on the table (5 December 2019): https://
www.ifs.org.uk/election/2019/article/universal-free-school-meals-are-back-on-the-table [accessed 30
June 2020]
307 Q 40 (Professor Greta Defeyter). See also Q 5 (Anna Taylor).
308 Q 5 (Anna Taylor)
309 Q 40 (Professor Greta Defeyter)
310 Supplementary written evidence from HM Government (ZFP0098)
311 Q 24 (Sarah Lewis)
312 Q 5 (Anna Taylor)
313 Q 40(Professor Greta Defeyter)
76 Hungry for change: fixing the failures in food
223. The Department appears to rely on parents to complain if they feel their
child’s school is not meeting the requirements. Ms Lewis explained that they:
“Rely on our regulatory system and we want parents to complain to us if
they feel that schools are not meeting their statutory responsibilities.”325 The
Government says that the standards were designed to be easily understood
and that complaints should come through the school in the first instance.326
We feel this lacks an understanding of the real world practical scenario where
parents may not feel able to challenge the school, nor have the available time
and ‘emotional bandwidth’ to embark on a complaints process.
224. As a means of enforcing standards, reliance on parents is highly problematic
for several reasons. Firstly: there are instances of what Anna Taylor termed:
“information asymmetries”.327 Parents are not in a position to address
nutritional standards which they may or may not be aware of, or be able
to access information about–and this is a highly specialised task. Secondly,
and more importantly, this places an inappropriate burden on parents
to seek information from the school and report to the Department as to
whether the Government’s own standards are being followed. As a means
of enforcement, this is patently unfit for purpose, further evidenced by the
Government’s admission that, to date, no action has been taken following a
complaint made in this way.328
225. The guidance for governing bodies has no statutory footing and is thus
inappropriate as a means of enforcement. Without a mechanism to monitor
food provided in schools, there is no way to ensure schools are meeting
the required standards. Alysa Remtulla, Head of Policy and Campaigns at
Magic Breakfast explained: “The biggest challenge that we see is the lack
of monitoring of the standards. Because of that, they are not necessarily
enforceable. There is no watchdog or body that monitors how the standards
are implemented.”329
226. It is a demonstrably ineffective approach. Witnesses highlighted a wide
variation in school food standards across schools, which effectively amounts
to a postcode lottery for nutritional standards. Nicky Dennison, Public
Health Specialist for Blackpool City Council, expressed frustration with a
lack of enforcement and provided figures for Blackpool: “ … across our 33
primaries; 11 schools meet the school food standard and the others do not.”330
Such a stark fluctuation of standards across England leads to children
receiving widely variable standards of nutrition. Worryingly, since there is
no enforcement mechanism or reviewer: we cannot estimate the scale of the
problem.
227. We were made aware of some potential mechanisms to monitor food
standards. The Local Authority Caterers Association (LACA) suggested that
Ofsted, the education standards body, could play a role. They advocated for
the inclusion of: “Enforcement and monitoring of the School Food Standards
across all schools including academies and free schools, inclusion of the school
food offer and food education programmes into Ofsted inspections’331Dr
325 Ibid.
326 Supplementary written evidence from HM Government (ZFP0098)
327 Q 3 (Anna Taylor)
328 Supplementary written evidence from HM Government (ZFP0098)
329 Q 43 (Alysa Remtulla)
330 Q 59 (Nicky Dennison)
331 Written evidence from LACA (ZFP0048)
78 Hungry for change: fixing the failures in food
School breakfasts
230. Some evidence advocated for increased support for breakfast clubs in deprived
areas. Breakfast clubs, which are run in schools and sometimes with private
sector involvement, can provide a nutritious breakfast for children who may
not otherwise eat breakfast. There is some research to demonstrate that
an extension of the Government’s National School Breakfast Programme
(NSBP) could provide health and attainment benefits to children from
lower-income households.
231. In November 2018, the Government announced a new aim to “improve
breakfast for pupils in more than 1,700 schools by 2020.”333 The National
Schools Breakfast programme (NSBP), which is implementing this pledge,
is a Government-third sector partnership to provide free breakfast clubs for
children in the most disadvantaged areas and is funded by up to £26 million.
As of January 2020, 1800 schools were participating in the scheme.334 In that
month, the funding was extended to last until March 2021, and there was
additional funding announced to recruit up to 650 new schools.335
232. Magic Breakfast, one of the third sector delivery groups for the programme,
explained that the purpose of the scheme was to ensure that no child is too
hungry to learn:
“A hungry child cannot concentrate on their lessons and misses out on
hours of valuable learning. That means they fall behind their wealthier
peers and that contributes to the educational attainment gap … Very
Holiday Hunger
244. As outlined in Chapter 3, it is believed that around 3 million children in
the UK are affected by holiday hunger.353 We welcome the Government’s
decision, following a campaign by the footballer Marcus Rashford, to extend
the National Voucher Scheme for the 2020 summer holiday: it will ensure
that the most vulnerable children are supported.
245. Holiday clubs provide a buffer against hunger, but the work they do to educate
and provide stimulating experiences for children is extremely valuable. These
opportunities should be available for every child who needs them. We were
told by Blackpool Council that:
“the summer holidays present an additional challenge by causing
‘learning loss’ for children, disproportionately affecting those children
from more deprived backgrounds–thought to be caused by social isolation
and boredom as well as inequity in opportunities and experiences to
enhance learning, compared to their more affluent peers.”354
246. Concern has been expressed that the closure of schools during the COVID-19
outbreak could increase educational inequalities between the richest and
poorest groups.355 This evidence of a “learning gap” indicates that extra-
curricular activities offered by holiday groups (which in one area included
“sport sessions, family craft, cook and eat sessions, team around the school,
trips to the beach and a high ropes experience”356) remain of paramount
351 Department for Education, Free meals and summer holiday activities for children, (4 January 2020): https://
www.gov.uk/government/news/free-meals-and-summer-holiday-activities-for-children [accessed 30
June 2020]
352 Q 41 (Alysa Remtulla)
353 See paragraph 93.
354 Written evidence from Blackpool Council (ZFP0036)
355 Institute for Fiscal Studies, Educational gaps are growing during lockdown (18 May 2020): https://www.
ifs.org.uk/publications/14849 [accessed 30 June 2020]
356 Written evidence from Blackpool Council (ZFP0036)
82 Hungry for change: fixing the failures in food
Public procurement
254. A number of respondents and witnesses suggested that harnessing the power
of public procurement would be an effective way to create a healthier and
more sustainable food environment. Witnesses mentioned the potential of
public sector provision to shift demand by setting good examples and shifting
the norm, as well as reducing the amount of less healthy or unsustainable
food consumed from public sector providers. There were some differences
in what our witnesses advocated for public procurement to achieve—from
organic food, to British food, to food that supported better public health—
which served to emphasise the great potential that, all agreed, procurement
offers.
255. We were told that one benefit of providing healthier meals as the Government’s
own offering would do a great deal to normalising healthy and sustainable
diets. It is clear that the necessary, sizeable shift in consumption will require
people to become accustomed to eating healthy food. Rob Percival, Head of
Policy (food and health) at the Soil Association, argued that procurement
was a way of creating a larger market361 and Dr Adrian Morley, Research
Fellow at Manchester Metropolitan University, argued that the Government
should reform its own provision—catering services in schools and hospitals—
to expose the general public to healthy and sustainable diets.362
256. Perhaps the simplest advantage of changing procurement standards is that
doing so would mean that people who consume publicly produced food could
be eating healthier and more sustainable products, with all the associated
benefits.
257. It was also suggested that public procurement could support horticulturist
producers at the same time as increasing the nutritional value of food
ingested. Kath Dalmeny, Chief Executive of Sustain, said: “There are smart
and dynamic procurement systems that enable horticultural producers in
particular to go into public sector procurement… Using clever technical
systems, the mechanics of making the system sympathetic to the supply of
fruit and veg means it then gets incorporated into dishes and people’s diets.”363
258. One of the key benefits of public procurement is that it is powerful. It forms
a key component of the criteria for the Sustainable Food Cities awards
because “it is such a key driver.”364 Ms Dalmeny from Sustain explained
that the systematic nature of procurement made it a powerful lever to
support sustainable production: it can be done at scale. Sustain had some
success with a procurement project to work with catering bodies on serving
sustainable fish. We were told that working with the methods of production
and working to transition fishing fields sustainably: “Can be done in a
principled, systematic way … it can happen at scale”.365 The power of this
tool was recognised by two local authorities who were working to reform
366 Q 56
367 Department for Environment, Food and Rural Affairs, The Government Buying Standard for Food
and Catering Services: https://assets.publishing.service.gov.uk/government/uploads/system/uploads/
attachment_data/file/418072/gbs-food-catering-march2015.pdf [accessed 30 June 2020]
368 Written evidence from HM Government (ZFP0079)
369 Ibid.
370 Q 93 (Rob Percival)
371 Department for Environment, Food and Rural Affairs, The Government Buying Standard for Food
and Catering Services, (https://assets.publishing.service.gov.uk/government/uploads/system/uploads/
attachment_data/file/418072/gbs-food-catering-march2015.pdf [accessed 30 June 2020]
372 Written evidence from HM Government (ZFP0079)
Hungry for change: fixing the failures in food 85
373 NHS Health Scotland, Evaluation of the implementation and impact of the Healthcare Retail Standard
in Scottish hospitals and other NHS facilities in 2017 (January 2019) http://www.healthscotland.scot/
media/2326/evaluation-of-the-healthcare-retail-standard.pdf [accessed 30 June 2020]
374 Q 63 (Dr Louise Marshall)
375 NHS, The Eatwell Guide: https://www.nhs.uk/live-well/eat-well/the-eatwell-guide/ [accessed 30 June
2020]
86 Hungry for change: fixing the failures in food
Advertising
270. Our evidence told us that advertising works largely in favour of highly
processed food which tend to be less healthy products. The Government
has been criticised for failing to implement proposals which would restrict
the times at which some less healthy foods are advertised on television. The
Government’s evidence summarised the problem:
“children remain exposed to significant levels of high fat, salt and sugar
(HFSS) advertising across the media they enjoy the most. This is a
concern as evidence suggests that exposure to HFSS advertising can
affect what and when children eat, both in the short term and in the
longer term by shaping children’s food preferences from a young age”.378
271. Anna Taylor emphasised that advertising not only encouraged food choices,
but also created new demand in the market, She stated that advertisers:
376 Written evidence from Dr Clare Pettinger assisted by members of the Food Plymouth partnership
(ZFP0033)
377 Supplementary written evidence from HM Government (ZFP0098)
378 Written evidence from HM Government (ZFP0079)
Hungry for change: fixing the failures in food 87
“Create a market, and then habits and norms are formed around them.”379
Kate Halliwell of the Food and Drink Federation described the different
ways in which marketing (which includes advertising) works: “Of course,
marketing makes a difference. Companies use marketing predominantly to
be competitive and take an advantage over their competitors, to raise their
own profile or to look at new products coming on to the shelf.”380
272. There is evidence to suggest that less healthy foods are marketed significantly
more often and with more financial muscle than healthy foods. The Food
Foundation told us that: “The advertising industry is oriented towards
selling us fast-food brands combined with manufactured confectionery and
things that tend to be less good for us.”381 A Food Foundation report, ‘The
Broken Plate’, found that in 2017 over £300 million worth of advertising was
spent on less healthy food products.382 They suggested that this might be due
to small margins for producers leaving little room for promotion spend and
that the small variety of fruit and vegetables means the advertisers would
benefit the whole market rather than their own share. Professor Lang put the
discrepancy into perspective:
“About two-thirds of £1 billion is spent on food advertising in Britain,
and about £5 million goes on something one can call health promotion.
David and Goliath are not even in it… The problem with advertising is
that its job is to keep the machine churning ever-cheaper food through
the system, and do it by scale. That is why Unilever spends that money.
That is why Coca-Cola spends $4 billion a year on marketing, which
dwarfs the entire World Health Organization’s budget by a factor of two,
every year.”383
Government policy
273. Chapter 2 of the Childhood Obesity Plan committed to a consultation on
introducing further advertising restrictions on TV and online for products
high in fat, sugar and salt (HFSS). This consultation closed in June 2019
and included proposals to ban advertising of some products before 9pm.384
Restrictions on advertising were widely welcomed by witnesses and within
the written evidence.385 George Butterworth stated that, if the proposal were
implemented, it “would have a big impact on reducing exposure to young
people.”386
274. We were referred to research by the Obesity Health Alliance which had found
that there was broad public support for this move: “72% of people support
the introduction of a 9pm watershed on junk food adverts during popular
387 Written evidence from the Faculty of Dental Surgery at the Royal College of Surgeons (ZFP0010). See
also Obesity Health Alliance, Protect children from all junk food advertising, say health experts - and parents
agree (28 February 2019): http://obesityhealthalliance.org.uk/2019/02/28/protect-children-junk-food-
advertising-say-health-experts-parents-agree/ [accessed 30 June 2020]
388 Q 69 (Dr Hilda Mulrooney)
389 Q 63 (Professor Susan Jebb)
390 Q 24 (Jenny Oldroyd)
391 Written evidence from the Faculty of Dental Surgery at the Royal College of Surgeons (ZFP0010)
392 Q 103 (Henry Dimbleby) and written evidence from the Food and Drink Federation (ZFP0009)
393 Q 69 (Mhairi Brown)
394 Public Health England, Health Matters: obesity and the food environment (31 March 2017): https://www.
gov.uk/government/publications/health-matters-obesity-and-the-food-environment/health-matters-
obesity-and-the-food-environment--2 [accessed 30 June 2020]
Hungry for change: fixing the failures in food 89
Product placement
279. Several witnesses referred to the placement within supermarkets of less
healthy foods in locations which are designed to promote impulse buying.
The effect of this tactic may not be consciously noticed, but we were told
that it is an important influence on food choices.
280. It was suggested to us that product placement disproportionately markets
unhealthier foods. We were told that in a study in Sheffield: “on average
89.5% of food products on display to children in convenience supermarkets
were less healthy, and that in most cases foodstuffs on display were at the
upper end of the spectrum of less healthy foodstuffs”.395
281. Dr Vogel referred to research which suggested that this problem was worse in
food outlets which offer cheaper food, and are thus more likely to be used by
lower income groups: “Discount supermarkets and small supermarkets had
poorer environments, with fewer choices of healthy foods, cheaper pricing
of unhealthy foods and more prominent product placement of unhealthy
foods.”396
282. Consultations under the Childhood Obesity Plan included a proposal to
ban by regulation the placement of some products in popular locations in
supermarkets such as the end of aisles, store entrances and checkouts. The
options consulted upon were: retaining the status quo; banning placement of
all HFSS foods in these locations; and banning placement of HFSS foods
(as defined under the sugar and calorie reduction programmes and the Soft
Drinks Industry Levy). The Government indicated a preference for the latter
which would represent a smaller group of products than if they had opted for
all HFSS foods.
283. Interestingly, it appears that, as in the work in advertising healthy food, the
power of product placement can be harnessed to encourage healthier choices.
Dr Vogel’s pilot study on the food environments indicated that there were
also opportunities in providing healthier foods, when fruit and vegetables
were placed in these prominent places, “the results were very promising”.397
284. A report of the Regulatory Policy Committee summarised the financial
benefits of the Government’s proposed regulation:
“The expected benefits of the regulations include the health benefits that
would accrue because of lower calorie consumption amongst overweight
and obese people. This would be equivalent to £2.5 billion over the
assessment period of 25 years. Social care savings would amount to
395 Written evidence from the Faculty of Dental Surgery at the Royal College of Surgeons (ZFP0010)
396 Q 12 (Dr Christina Vogel) and Christina Vogel, et al., Education and the Relationship Between Supermarket
Environment and Diet (August 2016): https://pubmed.ncbi.nlm.nih.gov/27067035/ [accessed 30 June
2020]
397 Q 15 (Dr Christina Vogel)
90 Hungry for change: fixing the failures in food
Price promotion
288. Price promotion is similar to other aspects of marketing of less healthy
products; it encourages consumers to buy more products that are less healthy
and disproportionately affects lower-income groups. Regulation is necessary
to control it. As seen in other areas, the Government’s action so far has been
to produce a consultation.
289. As with many of the marketing techniques employed by food manufacturers
and retailers, price promotions disproportionately focus largely on less
healthy foods. The Government’s evidence acknowledged this and outlined
some of the key issues:
“Promotions on food and drink in the UK reached record levels in 2015
and were the highest in Europe, with 40% of the food and drink people
purchased being on promotion Data shows that in store promotions
tend to be skewed towards HFSS products as these are more likely to be
promoted. Evidence also shows that volume promotions (such as multibuy
offers i.e. buy one get one free) cause a greater sales uplift compared to
other types of price promotions such as simple price reductions. Volume
promotions increase the amount of food and drink people buy by around
20%. Consumers typically do not stockpile these extra purchases to take
advantage of the lower price; instead they increase their consumption.”401
290. The Government’s consultation on this measure outlined proposals that
restricted the following HFSS promotions:
398 Regulatory Policy Committee, Restricting checkout, end-of-aisle, and store entrance sales of food and
drinks high in fat, salt, and sugar (HFSS) (22 February 2019): https://assets.publishing.service.gov.
uk/government/uploads/system/uploads/attachment_data/file/781451/RPC-DHSC-4333_1_ _-_
Restreicting_checkout__end-of-aisle__and_store_entrance_sales_of_food_and_drinks_HFSS__1_.
pdf [accessed 30 June 2020]
399 Ibid.
400 Department of Health and Social Care, ‘Restricting promotions of food and drink that is high in
fat, sugar and salt’, (updated April 2019): https://www.gov.uk/government/consultations/restricting-
promotions-of-food-and-drink-that-is-high-in-fat-sugar-and-salt [accessed 30 June 2020]
401 Written evidence from HM Government (ZFP0079)
Hungry for change: fixing the failures in food 91
• free drink refills with the purchase of a meal in out of home settings402
291. Our witnesses were welcoming of these proposals. The Royal Faculty of
Dental Surgery referred to Public Health England research which showed
that: “Eliminating price promotions on high sugar products altogether would
lead to a 6.1% reduction in sugar volumes purchased by consumers, equating
to around 7.4 grams of sugar per individual per day.”403
292. The Government’s consultation on this closed in April 2019, and a summary
of responses has not yet been published.404
293. The Government must, by the end of 2020, act on their proposals to
restrict price promotions on HFSS products.
402 Department of Health and Social Care, Consultation on restricting promotions of products high in fat, sugar
and salt by location and by price (January 2019) https://assets.publishing.service.gov.uk/government/
uploads/system/uploads/attachment_data/file/770704/consultation-on-restricting-price-promotions-
of-HFSS-products.pdf [accessed 30 June 2020]
403 Written evidence from Faculty of Dental Surgery (ZFP0010). See also Public Health England, Sugar
Reduction: The evidence for action – Annex 4: An analysis of the role of price promotions on the household
purchases of food and drinks high in sugar, (2015) pp 5–6: https://assets.publishing.service.gov.uk/
government/uploads/system/uploads/attachment_data/file/470175/Annexe_4._Analysis_of_price_
promotions.pdf [accessed 30 June 2020].
404 Department of Health and Social Care, Restricting promotions of food and drink that is high in fat, sugar
and salt, (Updated April 2019): https://www.gov.uk/government/consultations/restricting-promotions-
of-food-and-drink-that-is-high-in-fat-sugar-and-salt [accessed 30 June 2020]
405 Q 89 (Mark Laurie)
406 Q 13 (Dr Christina Vogel)
92 Hungry for change: fixing the failures in food
outlets per head of population than others.”407 Self-evidently, this means that
lower-income people are much more likely to consume this type of food. The
concentration of this type of food in poorer areas is therefore contributing
to the increased levels of obesity and diet related ill health in lower income
groups and plays a key role in exacerbating health inequalities.
297. Some of our evidence called for the use of planning restrictions to reduce
the number of fast food outlets, particularly when concentrated near schools.
Guidance for local planning authorities states that plans should: “take
account of and support local strategies to improve health, social and cultural
wellbeing for all”.408 It appears, however, that this is more difficult than it
should be.
298. Premises are defined on a ‘Use Classes’ system. A3 permission is historically
required for in-house consumption of hot food, and A5 permission applies
where the business primarily provides take-away food. Nicky Dennison
from Blackpool Council pointed out that the permission is allocated to the
premises rather than an individual and that this means the local Council
does not have the ability to prohibit a new take-away outlet opening:
“I would love A5 planning to be looked at, because once a property has
A5 planning it stays with the property and does not go. If one fast-food
outlet goes away, the next landlord or owner can come in and open as a
fast-food takeaway. I would love us to look at how we can make changes
to that. It should probably be a bit like alcohol licensing, in that it goes
with the name of the person who owns the business rather than the
property itself.”409
299. The allocation of Use Classes to premises rather than to individuals using
these premises is a missed opportunity for a potentially powerful tool for local
authorities. If new proprietors were required to reapply for the appropriate Use
Class, this would enable local authorities to adapt to changing circumstances
and more effectively fulfil their statutory duty to improve the health of their
local population.410
300. The problem is not restricted to take-away outlets. There was some discussion
of exclusion zones around schools, which some local authorities do attempt
to enforce. Dr Cuming from Brighton and Hove Council argued that this
problem is more complex than simply restricting only fast food outlets:
“We found that secondary school-aged kids with a small amount of
money to pay for their lunch ended up going to two or three different
food businesses… They might be garage shops, newsagents, a café or
a hot-food takeaway, which certainly would not come under the A5
restriction… We also realised that it is not just about lunchtimes; it is
407 Public Health England, Healthy people, healthy places briefing, Obesity and the environment: regulating
the growth of fast food outlets (March 2014) p 4: https://assets.publishing.service.gov.uk/government/
uploads/system/uploads/attachment_data/file/296248/Obesity_and_environment_March2014.pdf
[accessed 30 June 2020]
408 Ministry of Housing, Communities & Local Government, The National Planning Policy Framework,
CP 48 (February 2019): https://www.gov.uk/government/publications/national-planning-policy-
framework--2 [accessed 30 June 2020]
409 Q 58 (Nicky Dennison)
410 House of Commons Library, Local authorities’ public health responsibilities (England), Standard
Note, SN06844, March 2014
Hungry for change: fixing the failures in food 93
the route to and from school. Restrictions probably need to be a bit more
comprehensive than just talking about A5 outlets at lunchtime.”411
301. Brighton and Hove also found that as the traditional exclusion zone of 400
metres around schools did not cover the distance secondary school pupils
would walk, a distance of around 800 metres was more realistic.412 The
complexity of the issue seems to have led Brighton and Hove to allocate their
resources towards other methods of promoting a healthy food environment.
While this might be a sensible approach for a local authority to make in
the context of a national framework “that is not particularly supportive”,413
there is no justification for central Government to avoid tackling the issue
of fast food outlets. We are fully cognisant that fast food outlets are not the
only problem, but they are undoubtedly contributing to an unhealthy food
environment.
302. The Government’s written evidence outlined some actions it was taking
to clarify planning regulations, but Jenny Oldroyd from the DHSC
acknowledged that while local authorities do have some powers to enforce
exclusion zones around schools, there are serious difficulties in the ability to
apply them in practice:
“Those powers are there, but I do not pretend at all that they are always
easy and straightforward to use. They face a potential legal challenge,
particularly on using planning powers to restrict the opening of fast food
restaurants.”414
303. We recognise that the unprecedented circumstances presented by the
outbreak of COVID-19 have limited the ability for restaurants, pubs and
cafes to provide food on the premises. The Government has made it easier
to change the use of premises for this reason—allowing, for instance,
restaurants to become takeaways.415 We recognise that, during a time of
crisis, this flexibility is necessary. It must not become a precursor to a highly
permissive licensing environment which enables less healthy food outlets to
proliferate unchecked. It remains of vital importance that local authorities
can protect the health of their residents.
304. The planning environment must support the efforts of local authorities
to limit the proliferation of fast food outlets around schools.
305. The Government must conduct a review on the use of licensing and
planning to ensure that:
(1) local authorities are able to enforce exclusion zones of at least
800m around schools; and
(2) when use of a building subject to use class A3 or A5 is transferred,
new planning consent must be obtained.
Labelling
313. We received some evidence to indicate that food labelling is inconsistent and
confusing. Anna Taylor referred to “information asymmetries” in the food
system. She stated that: “it is pretty hard for a customer in a shop to work
out what they are eating, where it has come from and how it was made, and
to know that they are buying what they really want to buy”.425
Government consultations
314. Calorie and nutrient labelling is voluntary. The Government recommends
the use of ‘traffic light’ labelling. Jenny Oldroyd of the DHSC told us of
three different consultations planned by Government on labelling. She said
the Government was:
“looking to introduce calorie labelling in restaurants and cafés in out-
of-home settings. We have committed to launching a consultation later
this year on the very successful front-of-pack labelling scheme and how
we can build on that. We have committed to a consultation early next
422 Q 111 (Mark Laurie)
423 Written evidence from Nourish Scotland (ZFP0064)
424 Written evidence from Kevin Higgins, Advice NI (ZFP0020)
425 Q 3 (Anna Taylor)
96 Hungry for change: fixing the failures in food
year on the marketing and labelling of infant foods so that we get the
presentation of foods right for the youngest children in this country.”426
315. Given that the Public Health Minister, Jo Churchill MP, confirmed to the
Committee that: “one in ten children enters primary school obese, and that
rises to one in five by the time they leave”427 we consider that measures to
address the presentation of infant foods must be viewed as an urgent priority.
The Government has recognised that:
“Too many commercially available foods and drinks marketed for
infants and young children have labels that do not align with the latest
government scientific advice. They can also make a product appear
healthier than it really is, or do not contain enough information about
how they should be consumed. All of this can be confusing to parents
and carers.”428
The Government also told us that sugar levels in some commercial baby
foods and drinks can be very high, and that three in four children aged 4 to
18 months have energy intakes that exceed their daily requirements.429
316. The Government must publish its consultation on how to address the
marketing and labelling of infant food without delay. The responses
to that consultation, and the related measures to ensure parents and
carers have accurate information on infant food products must be
published in 2020.
317. Jenny Oldroyd also explained that the Department had committed to
publishing a response to the consultation on calorie labelling in the out of
home sector: “before the end of the year” which would have been December
2019. As of June 2020, no response to this consultation, which closed in
December 2018,430 was available.
318. Professor Jebb explained that food labelling works for two reasons. Firstly, it
provides the information required for consumers to make informed healthy
choices, and secondly, when labelling is required, businesses choose to lower
the calorie count. She said that, “Effectively, you get a population-level
impact over and above individuals making better choices”.431
319. We were told that different groups interact with nutrient labelling differently.
Dr Mulrooney, on behalf of the Obesity Group of the British Dietetic
Association, told us:
“Food labels are not necessarily used and understood in the same way
by all groups. There is evidence that their use is greater among those
with an already greater interest in food and health.”432
433 WRAP, Updating Guidance to Food Businesses on the Application of date Marks and Related Advice (April
2017): https://www.wrap.org.uk/sites/files/wrap/Briefing_note_Updated_guidance_to%20industry_
on_date_and_related_labelling.pdf [accessed 30 June 2020]
434 WRAP, Household food and drink waste: A product focus (June 2014): https://www.wrap.org.uk/sites/files/
wrap/Product-focused%20report%20v5_3.pdf [accessed 30 June 2020]
435 Arla, Nearly a third of consumers unnecessarily binning food due to label confusion, (5 September 2019):
https://news.arlafoods.co.uk/news/nearly-a-third-of-consumers-unnecessarily-binning-food-due-to-
label-confusion [accessed 30 June 2020]
436 Q 49 (Steve Butterworth). ‘Best before’ dates are more about quality than safety and indicate when
food may have passed its prime quality condition: Mr Butterworth was suggesting that these dates err
on the side of caution. See also written evidence from City Harvest (ZFP0055).
98 Hungry for change: fixing the failures in food
445 Marloes Rietmeijer-Mentik, et al, ‘Difference between parental perception and actual weight status
of children: a systematic review’, Maternal & Child Nutrition vol 9, Issue 1, (October 2012): https://
onlinelibrary.wiley.com/doi/full/10.1111/j.1740–8709.2012.00462.x [accessed 30 June 2020]
446 Written evidence from Dr Hilda Mulrooney, Obesity Group of the British Dietetic Association
(ZFP0035)
447 Written evidence from Bags of Taste Limited (ZFP0029)
448 Written evidence from the Nuffield Council for Bioethics (ZFP0045)
449 Written evidence from Blackpool Council (ZFP0036)
450 Written evidence from the Soil Association (ZFP0016)
451 HM Government, Childhood Obesity: A Plan for Action (August 2016), p 8: https://assets.publishing.
service.gov.uk /government/uploads/system/uploads/attachment_data/file/546588/Childhood_
obesity_2016__2__acc.pdf [accessed 30 June 2020]
100 Hungry for change: fixing the failures in food
332. Existing models to support healthy lifestyles could reduce the financial
burden on schools while still enabling them to play an increasingly active
role in reducing childhood obesity. The Primary PE and Sport Premium, for
example, offers an easily transferable model. The premium provides direct
and ring-fenced funding to make additional and sustainable improvements
to the quality of their physical education, physical activity and sports.452 This
could be used as a basis to improve the quality of education on healthy diets.
Another possible solution is to fund a small number of professionals in a
local area to engage with schools and facilitate classroom and skills-based
learning on healthy and sustainable diets. Ideally, access to these resources
should be available to all schools, but there is scope to target areas with the
highest levels of deprivation or childhood obesity. A Government scheme,
along the same lines as we have suggested for the Holiday Activities and Food
programme, could facilitate this and effect real improvement in children’s
health, including a reduction in childhood obesity levels.
333. We note the potential and applaud the success of school-based
schemes to encourage healthy lifestyles. We urge local authorities
and school leaders, in discussion with classroom teachers, to build
on the foundation already provided by the National Curriculum to
integrate further education on healthy lifestyles into their offer.
334. The power of public health messaging on healthy choices was highlighted.
Many of our contributors argued that, properly harnessed, this could shift
consumption habits to be healthier. Clearly, if people are to eat a healthy diet,
knowledge of what constitutes a healthy diet is essential. The Change4life
information campaign which suggests “easy ways to eat well and move
more”453 was raised as an example of a successful scheme.454 Professor Jebb
said that: “It has created a lot of trust in the brand. It has relayed some
consistent messaging. If we did not have it, we would probably be saying we
should do it.”455
335. There was a consensus that public health messaging should be carefully
tailored to the intended audience. Dr Christian Reynolds argued that
“information and education campaigns need to be tailored to different
dietary patterns (and income groups) to be effective”.456 Alex Holt of Food
Active told us that: “Current public health messages are very middle class.
We need to make sure that they are more tailored to those on low incomes
and, perhaps, those from religious and racial minority ethnicities.”457 We
were also told by Health Action Campaign that “between 43% and 61%
of working age adults routinely don’t understand health information”.458
There is a body of work that remains to be done to ensure that public health
messaging is clear and easy to understand.
336. There is potential for increased investment in targeted public health
messaging to help to encourage a shift towards healthier consumption
patterns.
452 Department for Education, PE and sport premium for primary schools (November 2019): https://www.
gov.uk/guidance/pe-and-sport-premium-for-primary-schools [accessed 30 June 2020]
453 NHS, Change4Life: https://www.nhs.uk/change4life [accessed 30 June 2020]
454 Written evidence from City Harvest (ZFP0055)
455 Q 62 (Professor Susan Jebb)
456 Written evidence from Dr Christian Reynolds (ZFP0077) and Association of Convenience Stores
(ZFP0050)
457 Q 47 (Alex Holt)
458 Written evidence from Health Action Campaign (ZFP0046)
Hungry for change: fixing the failures in food 101
337. One measure suggested by much of our evidence was the increased advertising
of healthy foods. Many witnesses pointed to the success of the VegPower
initiative to advocate for more public health advertising. Mr Percival stated:
“We need to level the playing field by tackling the overspend on junk food
advertising and increasing the spend on fresh food advertising.”459 Henry
Dimbleby, National Food Strategy Review Lead, expressed his interest in
public health advertising and referred to the advertising programme for
vegetables, VegPower:
“VegPower is amazing … All the kids were excited by it. My son was
talking about it last night at the table; he just brought it up. He said,
“Do you remember that bit where—? Could you link money in some
way to adverts so that you could advertise more of the good stuff? Could
you force people to advertise good stuff? There are all sorts of ways in
which you might change advertising. We need to get creative. It is a huge
amount of money, so we need to think carefully about that.”460
466 Written evidence from the Centre for Diet and Activity Research (ZFP0038)
467 Written evidence from The Institute of Developmental Sciences, Faculty of Medicine, University
of Southampton, MRC Lifecourse Epidemiology Unit and the NIHR Biomedical Research Centre,
University of Southampton and University Hospital Southampton NHS Foundation Trust (ZFP0080)
and Health Action Campaign (ZFP0046)
468 Q 62 (Professor Susan Jebb)
Hungry for change: fixing the failures in food 103
340. The previous chapter set out how factors within the ‘food environment’ can
drive dietary choices. We have argued that there is a clear and compelling
argument for controlling what many see as the ‘aggressive’ marketing and
promotion of less healthy food, and for reshaping the food environment to
support healthier choices.
341. The food environment can have a profound effect on consumer choice, but
clearly, so can the types of product that are made available. Our attention
was drawn repeatedly to the prevalence of products high in energy, unhealthy
types of fat, salt or sugar, commonly associated with highly processed foods.
It bears repeating that these types of foods are much more likely to be on
promotion, making them appealing to those on a tight budget469, and that
a high proportion of both adults and children’s dietary energy comes from
highly processed food.470 We also eat more processed products than other
European countries.471 We are, as Anna Taylor suggested, “heavily dependent
on those foods.”472
342. The general consensus was that interventions which make minimal demands
on individuals and are delivered to whole populations are considered to be
more effective in driving public health improvements, than approaches that
aim simply to encourage individuals to change their behaviours. As such, many
witnesses highlighted that government-led reformulation programmes have
the potential to be a powerful lever in enabling healthier diets and improving
health outcomes. As levels of food insecurity and health inequalities were a
central concern of this inquiry and given the potential that reformulation has
for delivering equitable effects across the whole population, it was important
for us to consider that merits of different approaches to encouraging industry
to reformulate their products to make them healthier.
343. The Government certainly appears to have put a good deal of faith in
the ability of reformulation programmes to drive improvements in public
health, with voluntary sugar and calorie reduction forming key components
of Chapter 2 of the Childhood Obesity Plan. Further commitments to
salt, sugar and calorie reduction were outlined in its 2019 Green Paper on
prevention, which stated that: “Central to our approach to improving diets is
working with food and drink companies to make their products healthier.”473
344. The evidence we received was broadly in agreement that government-led
reformulation programmes can be effective in tackling excess levels of fat,
sugars and salt in processed foods, and should play a key role in continuing
efforts to improve dietary health. There were, however, serious concerns
raised about the limitation of reformulation, both in how effectively
reformulation programmes have been implemented and adhered to, and to
what extent reformulation should be relied upon to deliver the public health
469 Written evidence from the Food Foundation, London School of Hygiene and Tropical Medicine and
Sustainable and Healthy Food Systems (SHEFS) (ZFP0073)
470 Ibid.
471 Written evidence from the University of Southampton and the MRC Life Course Epidemiology Unit
Southampton General Hospital (ZFP0080)
472 Q 4 (Anna Taylor)
473 Department of Health and Social Care, Advancing our health: prevention in the 2020s:consultation
document, CP 110 (July 2019): https://www.gov.uk/government/consultations/advancing-our-health-
prevention-in-the-2020s/advancing-our-health-prevention-in-the-2020s-consultation-document
[accessed 30 June 2020]
104 Hungry for change: fixing the failures in food
477 Scientific Advisory Committee on Nutrition, Salt and Health (April 2003), p ii: https://assets.
publishing.service.gov.uk/government/uploads/system/uploads/attachment_data/file/338782/SACN_
Salt_and_Health_report.pdf [accessed 30 June 2020]
478 Public Health England, Salt Reduction Programme PHE’s first assessment of the food industry’s
progress towards meeting the government’s salt reduction targets (December 19 2018): https://
publichealthengland.exposure.co/salt-reduction-programme [accessed 30 June 2020)
479 HM Revenue and Customs, Soft Drinks Industry Levy (December 2016): https://www.gov.uk/
government/publications/soft-drinks-industry-levy/soft-drinks-industry-levy [accessed 30 June 2020]
480 Public Health England, Sugar reduction and wider reformulation, (20 September 2019): https://www.gov.
uk/government/collections/sugar-reduction [accessed 30 June 2020]
481 Public Health England, Reduction and reformulation programme: Spring 2019 update (10 May 2019):
https://www.gov.uk/government/publications/reduction-and-reformulation-programme-spring-2019-
update/reduction-and-reformulation-programme-spring-2019-update#out-of-home-engagement
[accessed 30 June 2020]
106 Hungry for change: fixing the failures in food
Salt reduction
353. The salt reduction programme was cited as an example of a successful
reformulation programme. Professor Susan Jebb told us that: “Reformulation
has been a huge success story, in which the UK has had real leadership.
It started with the salt reduction programme, which continues today and
has been extraordinarily effective.”483 Similarly, the Nuffield Council on
Bioethics told the Committee that:
“There have been a number of voluntary initiatives directed at the
food industry to create healthier products, primarily aimed at reducing
sugar, salt, saturated fats, and/or trans-fats. Many of these voluntary
initiatives have shown that much can be achieved through self-
regulation. For example, seven-to-eight years after the introduction of
the Food Standards Agency’s voluntary salt reduction programme, the
salt content of many food products was reduced through reformulation,
alongside the introduction of a number of low-salt versions of products
to the market.”484
354. Jenny Oldroyd from the Department of Health and Social Care told us that:
“The salt reduction programme has also made gains in reducing salt in
foods. Between 2005 and 2011 we saw salt decrease in foods by 11%,
from 8.8 grams to 8 grams per day on average. We saw really big gains in
particular foods. Bread, for example: that programme resulted in 40%
less salt on average in bread in this country.”485
355. It was suggested that the initial success of the programme was due to
effective monitoring by the Food Standards Agency, which allowed it to hold
companies to account and to drive improvements in salt reduction. Mhairi
Brown from Consensus Action on Salt, Sugar and Health, stated that the
Food Standard Agency’s salt reduction programme was:
“ … robust and well monitored, and it became a model for salt reduction
programmes around the world. We saw transparent and publicly
482 Public Health England, Salt Reduction Programme, PHE’s first assessment of the food industry’s progress
towards meeting the government’s salt reduction targets (December 2018): https://publichealthengland.
exposure.co/salt-reduction-programme [accessed 30 June 2020]
483 Q 61 (Professor Susan Jebb)
484 Written evidence from Nuffield Council on Bioethics (ZFP0045)
485 Q 25 (Jenny Oldroyd)
Hungry for change: fixing the failures in food 107
• Just over half (52%) of all the average salt reduction targets set were
met by 2017. Retailers made more progress than manufacturers
towards achieving average targets, meeting 73% of these compared
with manufacturers meeting 37%;
publish revised salt reduction targets in 2020 for industry to achieve by mid-
2023 and we will report on industry’s progress in 2024.”495
Sugar reduction
364. The evidence on the progress of the sugar reduction programme was
similarly pessimistic. The Government has set a target for the food industry
to reduce the sugar in its products by 20% by 2020, with 5% in the first year
of the programme (August 2016 to August 2017).496 Public Health England
published its second-year report on the industry’s progress on meeting the
government targets on sugar reduction in 2019. It stated that:
• Between 2015 and 2018 there has been an overall 2.9% reduction in
total sugar content (sales weighted average in grams per 100 grams)
among retail and manufacturer branded products (in-home sector).
“With the voluntary sugar programme, all that was said was that, if
sufficient progress had not been achieved by 2020, additional levers
might be used. There is no clarity about what those levers are, so it is
perhaps more difficult for industries to engage with it, or they do not
see the need to engage with it. So far there is no stick. You either engage
with it or you do not.”501
368. Mhairi Brown later emphasised that: “A voluntary programme is only
effective if it is well monitored and there is buy-in across the sector.”502
Mandatory reformulation
371. A number of witnesses cited their support for the Soft Drinks Industry Levy
(SDIL). Sustain were one of many to highlight the successes of the levy,
stating that: “The key measure to be implemented has been the introduction
of the Soft Drinks Industry Levy which has removed 90 million kg of sugar
from drinks since 2017.”504
372. Public Health England’s assessment of the SDIL found that there had been:
• A 28.8% reduction in total sugar content per 100ml between 2015 and
2018 for the drinks subject to be included in the SDIL among retailer
own brand and manufacturer branded products;
• A shift in the volume of sales towards low sugar products (below 5g per
100ml) with no levy attached;
375. The Public Health Minister, Jo Churchill MP, informed the Committee that:
“The Government has also committed to consider the sugar reduction
progress achieved in sugary milk-based drinks as part of its 2020 review
of the milk drinks exemption from the SDIL. Sugary milk drinks may
be included in the SDIL if insufficient progress on sugar reduction has
been made.”511
376. The evidence also included calls for the Government to reconsider the zero-
rated VAT status of some food products. Professor Susan Jebb argued that:
“The obvious immediate place you could take action would be on VAT.
There are ridiculous anomalies that do not help the health agenda. Why
do cakes not have VAT on them? That seems to me very easy to fix. If
the price of cakes went up by 20%, you would probably see something of
the order of a 15% to 20% reduction in consumption.”512
Dr Hilda Mulrooney highlighted that extending taxation on certain foods
could impact on consumer practices, stating that:
“If the product price is raised by about 20% due to taxation, it seems to
effect behaviour change in consumers. That will generate less income
from taxation because people stop buying products that are subject to the
levy. As regards income for the Government it is not a great approach,
but in consumer behaviour it seems to be.”513
377. Following the UK’s exit from the European Union we consider that there
is a clear opportunity for the Government to review VAT rates on food and
drink to help to rebalance the cost of food and drink in favour of healthier
products.
378. The Government should review the current zero-rated VAT
arrangements on some food products which are known to be energy
dense, and contain high levels of salt, sugar and unhealthy types of
fat. It should commence this review before the end of the transition
period in 2020.
Barriers to reformulation
380. Industry representatives and others highlighted that reformulation is different
across different food products, with some products easier to change than
others. Professor Susan Jebb highlighted, for example, that: “Sugary drinks
are relatively easy. You can replace the sugar with artificial sweeteners or just
511 Supplementary written evidence from DHSC (ZFP0097)
512 Q 66 (Professor Susan Jebb)
513 Q 68 (Dr Hilda Mulrooney)
Hungry for change: fixing the failures in food 113
make the drinks less sweet”514 but other products are not as easy to change.
Dr Hilda Mulrooney explained that “sugar in other foods has structural
properties as well.”515 Kate Halliwell from the Food and Drink Federation
explained the success of the SDIL might not be able to be replicated in other
products, stating that: “Trying to translate that to a cake, where sugar has a
much more structural role, would be much more difficult.”516
381. Industry representatives also suggested that two components of the
government obesity proposals—reformulation targets and restrictions on the
advertising of HFSS products—were, in some cases, working against each
other. Nestlé UK&I highlighted that the Government’s restrictions on the
advertising of products categorised as HFSS:
“… do not distinguish between those whose nutritional profile have been
improved and those that have not, meaning producers are faced with the
possibility of being unable to showcase the healthier alternatives.”517
It was suggested that this deters companies from reformulating their
products, posing a dilemma for companies when considering whether to
invest in reformulation. Kate Halliwell from the Food and Drink Federation
explained that:
“A company trying to decide now what to do, given how long it takes
to reformulate, would not be able to promote or advertise 30% reduced
confectionery. If you were trying to develop a product and invest a lot of
money in it, it would raise a question as to whether you should or not.
How do you successfully bring something to market?”518
382. There were also concerns expressed over the lack of clarity over what
measures will be introduced next, caused in part by the fact a number of
government proposals on improving dietary health have been announced
through the three Childhood Obesity chapters, but not yet implemented.
Kate Halliwell highlighted that: “We have had three childhood obesity plans
in two years. Inevitably, that means that civil servants are processing that
work, and we are just catching up with the announcements all the time.”519
383. Various witnesses referred to Scottish and Welsh efforts to support businesses
(particularly SMEs) to reformulate their products in a healthier way. The
Food and Drink Federation told us that:
“In Scotland, they fund a reformulation manager post to engage with
those companies. In Wales, there are food centres that look across the
piece more broadly. It is not just reformulation but sustainability issues,
and packaging comes into it as well. They have specifically said that they
are going to uplift the money to help companies on reformulation. In
England, we do not have an equivalent for that.”520
384. Given that the food industry is made up of a complex range of businesses, with
a significant number of SMEs, the argument that the Government should
businesses can make changes that they probably could make without
costing them business. There are lots of other areas that underpin it.”523
387. We listened to the concerns from industry and we acknowledge calls for
clear direction from the Government on the issue of reformulation. We
were concerned, however, that the evidence we received from the retail and
manufacturing industries did, at times, direct responsibility for reducing
the availability and accessibility of less healthy food elsewhere, either to
Government, local authorities, schools or to the consumer. During the oral
evidence session with retailers, the Committee asked witnesses to respond
to its concerns that blame for the population’s poor dietary health is often
shifted onto others by the food industry. Andrew Opie responded by stating
that:
“The point we are making is that we are not here to blame anybody else.
I am here to accept the responsibility for retail, but if we want to make
a real difference, we have to see everybody in the food industry taking a
more progressive approach to the issue”.524
Mr Opie went on to state that:
“It will be a comprehensive answer if we really want to make a difference.
I am certainly not here to say, “It’s them, it’s them, it’s them”. What I
am here to say is, “This is what is possible”. We have shown what is
possible in labelling, reformulation, removal of trans fats and healthier
promotions. All of those things are absolutely possible. We just need
universal application of those and support from government.”525
Portion sizes
388. Another area where it was argued that Government regulation could be
effective in encouraging healthier choices was in mandating responsible
portion sizes. Both Nestlé and Sainsbury’s supported this as an approach.
Judith Batchelar, Director of Sainsbury’s Brand, told us:
“We have done all this work on reformulation but it hasn’t really worked.
If you think we have been reformulating products for 20 years, we still
have a massive problem in terms of nutrition, health, wellbeing and at
the extreme, obesity and that’s because we have been unable to create
an equivalence on portion size. If you look over the same period of time,
portion size has grown and one of things we have been lobbying for ….is
portion size guidance, which years ago we used to have.”526
389. The Centre for Diet and Activity Research raised the issue of portion size and
highlighted that: “An extensive body of research illustrates the contribution
of increasing portion sizes to the prevalence of obesity and overweight.”527
City Harvest suggested that: “Portion sizing also has a huge impact on the
average consumer leading to obesity and excess waste. Around 70% of all
food waste happens in the home and most of this is down to portion size and
date labels.”528
390. Mark Laurie from the Nationwide Caterers Association highlighted that
large portion sizes were an issue in the catering sector. He told us that
“A lot of people buy based on size. I guess that size is relative to value
in people’s minds, especially if they do not have very much money. A
massive portion of chips will probably seem like great value, whereas, in
the nutrition they are getting from it, it is terrible value.”
“I had a chat with someone from the fish friers’ association. I said, “Why
do you guys always sell massive portions of chips?” Whenever we buy
fish and chips, we get a massive portion that would feed a whole family.
I said, “Why do you do it? No one eats them; they just throw them all in
the bin. It is a waste of food and money”. He said, “It is a race to give the
biggest portions because that is what people want”.529
391. The Government’s sugar reduction programme states that businesses are
able to take action to reduce the levels of sugar in their products through
reformulation, reducing portion size or shifting consumers purchasing
patterns towards lower/no added sugar products.530 Similarly, the
Government’s calorie reduction programme states that industry has the
option to reduce the portion size of its products to meet the Government’s
target to reduce calories.531 The Government has not yet indicated that it will
consider measure to mandate portion sizes in the published chapters of its
childhood obesity plan or through any other current public health proposals.
392. As part of any future measures the Government sets out to tackle
obesity and poor dietary health, it should develop and publish a
consultation with industry on the issue of mandating maximum
calories per portion. This consultation process must involve active
engagement with SMEs and the catering sector.
539 Department for Environment, Food and Rural Affairs, Agriculture in the United Kingdom (2018)
p 10: https://assets.publishing.service.gov.uk/government/uploads/system/uploads/attachment_data/
file/741062/AUK-2017–18sep18.pdf [accessed 29 June 2020]
540 Q 2 (Professor Tim Lang)
541 Q 74 (Professor Andrew Balmford)
Hungry for change: fixing the failures in food 121
542 Professor Walter Willet MD, et al, ‘Food in the Anthropocene: the EAT-Lancet Commission on
healthy diets from sustainable food systems’, The Lancet, vol 393, (2019), pp 447–492: https://www.
thelancet.com/journals/lancet/article/PIIS0140–6736(18)31788-4/fulltext
543 Q 82 (Professor Tim Benton)
544 Written evidence from the Sustainable Food Trust (ZFP0007)
545 Written evidence from Martin Lovegrove (ZFP0003)
546 Q 88 (Philip Hambling)
122 Hungry for change: fixing the failures in food
Agriculture
87% of UK ammonia
and
Source: Department for Environment, Food and Rural Affairs, The future farming and environment Evidence
compendium (September 2019): https://assets.publishing.service.gov.uk/government/uploads/system/uploads/
attachment_data/file/834432/evidence-compendium-26sep19.pdf [accessed 29 June 2020]
418. The evidence we received indicated that the way in which food is currently
produced is environmentally unsustainable and that primary production is
inflicting damage on the natural environment. Generally, ‘environmental
sustainability’ means not compromising the environment for future
generations. Many of our witnesses emphasised that it would be insufficient
to maintain the status quo. Mr Percival for example, emphasised that change
was absolutely necessary: “what we actually need is farming that puts value
back into the system so that it replenishes our soils, brings wildlife back on
to farms, brings more social value than it extracts and helps to resolve the
climate and nature crisis and turn around the dietary ill health trends that
we have seen.”548
Enforcement
430. It is encouraging that the Agriculture Bill includes provision to ensure
adherence to some environmental standards through a system of conditional
payments. The explanatory notes to the Agriculture Bill state that it
includes: “the ability to establish an enforcement and inspection regime for
the new financial assistance payments including powers to set out terms and
conditions of future financial assistance.”565 It is vital that progress is robustly
and consistently measured, and that this assessment has weight.
431. The Government must ensure that the ability to stipulate conditions
for payments under the Environmental Land Management Scheme
577 Public Health England, PHE publishes latest data on nation’s diet, (16 March 2018): https://www.gov.uk/
government/news/phe-publishes-latest-data-on-nations-diet [accessed 29 June 2020]
578 The Food Foundation, Food system challenges: https://foodfoundation.org.uk/food-system-challenges/
[accessed 29 June 2020]
579 Q 8 (Anna Taylor)
580 Q 76 (Dr Adrian Morley)
581 Fruit and Vegetables Task Force, Report of the Fruit and Vegetables Task Force (August 2010): http://
www.appg-agscience.org.uk/linkedfiles/Fruit%26VegTaskForceReport.pdf [accessed 29 June 2020]
582 The Food Foundation, Veg Facts 2020 In Brief (10 June 2020), p 10: https://foodfoundation.org.uk/
wp-content/uploads/2020/06/Pease-Please-Veg-Facts-2020-In-Brief-spreads-1.pdf [accessed 29 June
2020]
Hungry for change: fixing the failures in food 129
• Measures to promote fruit and vegetables. This could take the form
of general marketing, or running events in partnership with local
organisations or local authorities; and
marketed fruit.600 A model where more of the UK’s food was produced ‘in-
house’ could support smaller producers, enhance animal welfare standards,
reduce air-miles and increase resilience to global shocks that disrupt food
supply. In addition, Henry Dimbleby’s consultation found that there was
a strong emotional desire for localised production: “The one thing that
everyone seems to share is the idea that they want their food to be nearby …
There is a very strong sense of us as a food-growing nation”.601
457. Of the utilised agricultural area in England, only around 0.3% is used for
growing fruit crops602, which might suggest the potential for using more
land for growing important crops. The Government has acknowledged this:
“There is potential that the UK could increase its home-produced marketed
share and it is likely that the industry would be keen to do this”.603 There
was some suggestion that producing more ‘in-house’ could increase the
consistency of national supply. Professor Benton stated: “Under a resilient
food system, there is a much more natural argument to have a discussion
about how much we produce at home versus relying on importing.”604
458. Another point that was raised by Henry Dimbleby was that trading is crucial
for ensuring resilience in the food system “because it protects us from bad
harvests”.605 The Government also argued that many products cannot be
produced in the UK, and that supply would fail to meet demand for year-
round access to certain foods.606
459. The empty shelves in supermarkets and the unpicked food in fields following
the outbreak of COVID-19 demonstrate that there are certainly discussions
to be had about the resilience of the food supply. A House of Lords Select
Committee recently urged the Government to develop a comprehensive food
security policy for the UK.607 We are inclined to support this recommendation
and are hopeful that the upcoming National Food Strategy will address this
important piece of work.
Trade
460. Following Britain’s exit from the European Union, the Government’s
decisions about trade policy with regard to food have the potential to enhance
food security through a strong and resilient agricultural sector. Trade in this
sector could deliver a healthier diet, continue the UK’s strong record on
high animal welfare standards, encourage sustainable practices elsewhere,
and support the broader agri-environment.
461. Trade featured in many of our discussions and much of our evidence.
There was strong agreement that, whatever environmental standards are
implemented following Brexit, trade arrangements must support these
standards rather than undermine them. Several of our witnesses spoke of the
need to apply the same environmental standards to imports as are applied
to food produced in the UK. This is partly a competitive requirement for
British farmers who may otherwise be undercut by cheaper food produced
with lower environmental standards, and partly a moral imperative not to
encourage poorer standards elsewhere. Dr Garnett said: “We cannot export
or import the problem”.608 Evidence from British Growers emphasised that:
“The UK needs to guard against ‘off shoring’ production in the interests
of keeping prices low but without proper concern for the impact on the
environment in those countries exporting produce to the UK.”609
462. If trade agreements allow for the import of cheap food, produced according
to lower environmental standards, this would put UK producers at a
competitive disadvantage; they would be internalising the costs of food
production to the environment, while the producers of the imports would not
be doing so. Nothing in the Agriculture Bill as it stands would prohibit this.
Professor Benton argued that this would: “undercut the profit margins of our
farmers”, potentially leading to the loss of many smaller or less intensively
producing farmers.610 The Nature Friendly Farming Network agreed. It
emphasised that: “The risks posed by a model that allows environmentally
sensitive farmers in the UK to be ‘undercut’ by cheap, damaging imports
are numerous and could see the loss of many of our most environmentally
beneficial farmers.”611 Another possible scenario is one where UK farmers
are compelled to lower their production standards on sustainable farming,
safety, and animal welfare in order to remain competitive.
463. There was also serious concern that access to cheaper food (which may be
produced with lower environmental protection or animal welfare standards)
would: “undercut our ability to do everything else we want to do in this
space”.612 If we are, as a nation to aim to encourage sustainable production,
then it stands to reason that we ought to ascribe: “the same values that we
ascribe to production in the UK through trade and procurement policy.”613
The very least the Government can do to protect British producers and
the natural environment is to import food products following the same
standards as applied in the UK. The Food Ethics Council has estimated that
since: “70% of the UK’s environmental food footprint is based overseas”,614
there is an obligation to support sustainable growing and production in
other countries. This could be achieved by requiring the same levels of
environmental integrity from imported products as those produced in the
UK.
464. There could also be health implications in importing food made to different
health and safety specifications. When asked whether retailers would rule
out importing food made to lower safety standards, Mr Opie from the
British Retail Consortium and Ms Batchelar from Sainsbury’s focussed
on consumer acceptability, stating that they did not anticipate consumers
lowering their standards. We are, however, concerned that if food produced
to lower health and safety standards can be imported cheaply, some retailers
will sell it. Not all consumers would necessarily buy food produced to lower
health standards, but if it were available more cheaply, the most vulnerable
in society may not be able to avoid it.
465. We understood that the requirements to import only food that meets current
UK standards on environmental, health, and animal welfare standards will
be difficult to achieve. One difficulty arises when we consider the differing
priorities of Government Departments. We were told by Henry Dimbleby that:
“DEFRA and Trade have very different objectives in our trade negotiations
with other countries. There is a constant running battle between BEIS and
Health on proper regulation of retailers and food producers.”615 We recognise
the difficulties inherent in this, but it is crucial that the Government obtain
the right trade deals for the future.
466. In a joint letter to MPs and Peers, dated June 5 2020, the Secretary of State
for International Trade, the Rt. Hon. Elizabeth Truss MP, and Secretary
of State for the Department for Environment, Food and Rural Affairs, the
Rt. Hon. George Eustice MP, stated that in all of its trade negotiations, the
Government “will not compromise on our high environmental protection,
animal welfare and food standards.”616 The same phrase was used in the
Government’s evidence to our inquiry which added: “We are committed to
supporting global decarbonisation and we are clear that trade will not come
at the expense of the environment.”617 It is unclear at the time of writing how
the Government intends to honour these commitments.
467. When asked in a House of Lords debate about trade deals which could
allow imports farmed to less rigorous standards, Lord Agnew of Oulton, the
Minister of State at the Cabinet Office and Treasury stated that: “there has
to be a balance between keeping food affordable… to ensure that they are
able to eat healthily, while not undermining in any way the quality of the
food we eat.”618 This statement falls far short of the commitment we were
told was necessary: to refuse to export the problem.
468. An amendment to the Agriculture Bill which aimed to ensure that future
imports adhered to the same standards of environmental and animal welfare
protection as is mandated in the UK was defeated in the House of Commons
on 15 May 2020.619
469. Food imports must be required to adhere to the same health,
environmental and animal welfare standards as food produced
in the UK. To fail to do so would make a mockery of our stated
environmental values, and irrevocably undermine British
producers. The Government must set out how it intends to ensure
that current standards are maintained in future trade agreements,
and what safeguards will be in place to guarantee this.
Production efficiencies
470. We were also told that farming practices could be made substantially more
productive and efficient, and that farming that uses fewer resources or less
land to produce the same or higher yield could be more environmentally
sustainable. Professor Balmford explained this to us in terms of land use:
“Any systems that are relatively low yielding tend to have disproportionate
impacts. In order to produce the same amount of food, you need a larger
area, so the [negative] impacts tend to be greater.”620 The aim is to increase
efficiency, which Dr Garnett described as: “producing more with less, more
with the same amount or more with only a little bit more.”621 A more efficient
system could have a reduced environmental impact and could potentially free
up resources to be used in the production or preservation of environmental
goods.
471. We were warned that, while production efficiencies can be positive, other
needs must also be considered to ensure that this does not lead to negative
consequences. Dr Garnett said: “If we are producing more food that is
making more people fatter and sicker, that is not necessarily a result.”622
Henry Dimbleby raised the example of a low-carbon cattle farm: “The most
carbon-efficient systems are the feedlots of the United States. By feeding a
cow hormones and keeping its life as short as possible by growing it quickly,
you reduce the methane emissions, but that obviously has implications for
animal welfare and health.”623
472. Ideally, farming ought to be as efficient as is possible without undermining
environmental or animal welfare considerations. We were told that technology
holds some potential for enabling this shift. Witnesses also, however,
identified a number of barriers to the development of the technology which
could increase production efficiency without damaging the environment.
These included that:
626 Department for Business, Innovation & Skills, £160 million technology boost for UK agricultural
industries (22 July 2013): https://www.gov.uk/government/news/160-million-technology-boost-for-uk-
agricultural-industries [accessed 29 June 2020]
627 UK Research and Innovation, Transforming food production: https://www.ukri.org/innovation/
industrial-strategy-challenge-fund/transforming-food-production/ [accessed 29 June 2020]
628 Department for Environment, Food & Rural Affairs, Countryside Productivity Scheme (27 March 2020):
https://www.gov.uk/guidance/countryside-productivity-scheme [accessed 29 June 2020]
629 Q 75 (Professor Andrew Balmford)
630 Department for Environment, Food and Rural Affairs, Food Enterprise Zones created to drive growth,
(12 February 2015): https://www.gov.uk/government/news/food-enterprise-zones-created-to-drive-
growth [accessed 30 June 2020]
631 Written evidence from Martin Yarnit (ZFP0002)
632 Vertical farming is the practice of growing crops in vertically stacked layers and often incorporates
controlled-environment agriculture.
Hungry for change: fixing the failures in food 137
Agroecology
484. Whilst agricultural technologies and investment in research and development
present great potential for efficiencies, Government must be clear that any
increase in productivity must not compromise biodiversity, animal welfare,
human health, or the ability of land to continue producing food for the
future. Dr Garnett told us that:
“In itself, it is not a bad goal, but efficiency is a ratio and therefore has
no boundary. We live in a world with limits—environmental limits of
many kinds—so we have to think about these technologies partly in the
context of limits and partly in the context of what our end goals are.”639
485. We were told that investment in research and development and new
technologies must include consideration of the possibilities of agroecology,
which incorporates ecological considerations into agriculture. Increases in
productivity must not come at the cost of environmental damage. There
was some debate for instance, around conserving (or in some cases, re-
introducing) wildlife in the natural environment. The majority of our
witnesses argued that a model which enabled existing farms to enhance
nature on their land by, for example, introducing ponds and planting hedges
at boundaries, would be a positive first step. This could have the double
benefit of reducing the net emissions of carbon dioxide. A January 2020
report by the Committee on Climate Change stated that an increase in tree
planting by at least 17% was necessary if the UK was to achieve the target set
to produce net zero emissions by 2050.640
486. A different approach would be to intensively farm some pieces of land and
leave some land unfarmed to allow the development of wildlife and habitats.
Professor Balmford suggested concentrating food production in particular
areas: “Then in other parts, perhaps within the same landscape, we could
have large-scale areas set aside for the ecosystem services that we rely on for
nature.”641.
487. It was not for us to determine between this approach and the land ‘sharing’
approach outlined in paragraph 485. It is only one example of where the ‘end
goal’ must be carefully considered. We are clear that there is a balance to be
struck, where new agricultural technology can allow for a more productive
and efficient use of land, without undermining the natural environment or
biodiversity.
488. Any investment in or policy change related to farming productivity,
including investment in agricultural technology or land use must
take account of the imperatives to avoid undermining the ability to
produce food in the future, and to protect biodiversity and animal
welfare.
490. A Food Foundation Report was highly critical of gaps in reporting on some
sustainability and health metrics, most of which are voluntary.643 Some of
our evidence argued for a consistent and mandated sustainability reporting
regime. Requiring data from local businesses such as supermarkets, large
processors and large public procurers could encourage more pro-sustainability
behaviour in supply chains and would provide a way of holding the industry
to account. This data could be publicly available to NGOs, Government
and, crucially, consumers. There is a possibility that this reporting would
encourage a race to the top, with industry competing–if not to be the best,
then at least to avoid being labelled the worst.
491. Dr Morley highlighted the “importance of data and mandating reporting
from the food system”644 as a key priority. He told us that: “if we can mandate
certain parts of the food system to report different sustainability metrics and
incentivise other smaller businesses to do the same, it would go a long way
towards identifying a route to manage the transition to a more sustainable
food system.”645
492. Supermarkets, public procurers, and manufacturers could be required to
publish a measurement of performance against a variety of relevant metrics.
These could include (among many others): carbon impact, food waste, the
use of water-stressed regions, the percentage of products produced under
sustainable production practices, the percentage of products certified to
high animal welfare standards, the price of a basket of sustainably produced
basics and the price of a basket of healthy basics.
493. Government must implement a mandatory reporting regime for
adherence to clear and consistent sustainability and health metrics,
as well as adherence to procurement standards. This should apply
to all supermarkets, major food and drink manufacturers, public
procurers and their contracted suppliers, and food outlets.
Food waste
494. Food production produces waste at every stage: both pre and post-farm gate.
Dr Morley told us that: “between a third and perhaps a half of all food that
is produced does not get to its end consumer.”646 Steve Butterworth, CEO of
Neighbourly, stated that: “if global food waste was a country it would be the
third largest contributor to the climate crisis in CO2 emissions globally, after
the US and China.”647
495. British Growers told us that the demand (from retailers and consumers) for
consistent supply and ‘perfect’ produce means that farmers often cannot
avoid food wastage.648It is another example of farmers being trapped in the
‘economic paradigm’ discussed in paragraph 414. Clearly, this is a problem
that cannot be resolved by Government alone, it will require a shift in retailer
behaviour.
643 The Food Foundation, Plating Up Progress: Part 2, ‘Must-Have’ Metrics, (September 2019): https://
foodfoundation.org.uk/wp-content/uploads/2019/08/Plating-up-Progress_Report2_DIGITAL.pdf
[accessed 30 June 2020]. Voluntary disclosures are often assisted by the work of the Carbon Disclosure
Project and often include reports on GHG emissions, energy use and contribution to deforestation.
644 Q 79 (Dr Adrian Morley)
645 Ibid.
646 Q 74 (Dr Adrian Morley)
647 Q 50 (Steve Butterworth)
648 Written evidence from British Growers (ZFP0090)
140 Hungry for change: fixing the failures in food
496. Efforts to reduce food waste have largely focused on food waste that occurs
after the food has left the farm (post-farm gate). In 2016 the DEFRA-backed
Waste and Resources Action programme (WRAP) launched the Courtauld
Commitment, a voluntary agreement with a target to reduce post-farm gate
food waste by 20% per capita.649 The Government, however, told us that
progress towards cutting food waste has “plateaued”650 in recent years. The
Government’s evidence to the Committee pointed to its 2018 Resources
and Waste Strategy,651 and highlighted two separate attempts to redistribute
surplus food: the appointment of a champion, and the introduction of a
£15 million fund for the redistribution of surplus food.652
497. The Sustainable Food Trust (SFT) called for more concerted effort on
waste. They argued for a new ambitious target which would include pre-
farm gate food waste. “In line with SDG 12.3, the SFT believes that the UK
Government should cut food waste per capita by 50% before 2030, starting
from post-harvest losses and going through production and supply, all the
way to consumption.”653
498. The tight specifications on the shape and size of produce that can be sold
and the practise of overproduction mean that farmers are compelled to
throw away a substantial amount of produce. Evidence from British Growers
argued that: “the big issues for growers is around retailer programming”.
They gave the example of lettuce production which must be grown to meet
possible demand but “can’t be turned off” if demand reduces as a result of
cold weather or other factors which may influence consumer demand.654
499. The House of Commons Environment, Food and Rural Affairs Select
Committee recommended that retailers should relax quality standards to
allow “wonky vegetables”655 as part of their main range to avoid the situation
where good food is thrown away because it does not fit narrow supermarket
specifications. We endorse the 2014 findings of the House of Lords European
Union Committee which recommended renewed effort by businesses to
promote cooperation and shared financial responsibility for food waste early
in the supply chain. They said efforts should, amongst others, include:
“careful consideration of contractual requirements in the sector,
including much wider use of long-term contracts and ones where the
relationship between different ends of the supply chain does not encourage
overproduction; the encouragement of whole-crop purchasing; and
improvements to forecasting.”656
500. The Environment Bill rightly includes provision to reduce household food
waste. It also enables the Government to introduce producer responsibility
schemes in the future under the polluter pays principle.657 We welcome these
inclusions but there is limited focus on food waste which can arise before the
food leaves the farm (“pre-farm gate”). The Courtauld targets account only
for “post-farm gate” waste but pre farm gate waste is estimated to exceed that
from hospitality and food service and retail combined.658 In the instance of
pre-farm gate food waste, the retail industry must take some responsibility.
501. Progress in tackling food waste will not be achieved without
meaningful action from the retail sector. The Government should
embark on a concerted effort to encourage sustainable purchasing
behaviour from retailers. Consideration should be given to financial
disincentives for retail or purchasing practices which lead to
excessive pre-farm gate food waste.
657 Department for Environment Food and Rural Affairs, Waste and resource efficiency factsheet, part 3
(13 March 2020): https://www.gov.uk/government/publications/environment-bill-2020/10-march-
2020-waste-and-resource-efficiency-factsheet-part-3 [accessed 29 June 2020]
658 WRAP, Food surplus and waste in the UK - key facts (January 2020) p 4: https://wrap.org.uk/sites/files/
wrap/Food_%20surplus_and_waste_in_the_UK_key_facts_Jan_2020.pdf [accessed 30 June 2020]
142 Hungry for change: fixing the failures in food
502. We heard repeatedly of the need for ‘whole system change’. We recognise
that this call reflects the serious concerns that individuals and organisations
have about the state of the food system; to many, a systemic shift is required.
It was also evident that what ‘whole system change’ might look like, what it
might involve and how it might be realised, are issues that many organisations
are still grappling with. We agree that a radical shift is required but have
avoided simply calling for whole system change without quantifying what
that means. In previous chapters, we have outlined points at different stages
of the system where positive change could be realised—primary production,
food manufacturing; and the food environment—to help ensure that more
people can access a healthy, sustainable diet.
503. The most compelling arguments about how to stimulate broader system
change were about how food policy might be better coordinated, and how
the Government can be held more accountable for achieving improvements
in food, health and sustainability. Witnesses criticised the absence of a
coherent strategy on food and the lack of coordination there has been in
tackling the interrelated issues of food insecurity, diet-related ill health and
food sustainability.
504. As we have detailed elsewhere in the report, the outbreak of COVID-19 has
exacerbated the serious, systemic problems with the food system that our
inquiry has focused on. The crisis will have serious and long-term effects
on the economy and on public health. It also appears that COVID-19
disproportionately affects groups with poor dietary health, and those living
in more deprived areas. It is, therefore, more important than ever that an
overarching strategy for the food system is put in place, one that is effectively
coordinated and rigorously monitored, so that progress on the issues of food
insecurity, poor diet and environmental sustainability can, at last, be realised.
505. The prospect of the National Food Strategy provides us with a great deal
of optimism that the challenges relating to the role and impact of the food
system might finally be addressed under an overarching strategy, allowing for
a coordinated approach to the multi-disciplinary issues that exist. While we
do not wish to pre-empt the findings of Mr Dimbleby’s review, the evidence
we received allows us to offer some insight into what might help to support
and secure any future national strategy for food. The key themes to emerge
were that:
(a) There needs to be a clear ambition set, by the Government, for what it
wants the food system to achieve. That ambition should be supported
by a comprehensive understanding of the scale of the issues involved,
and the links between them;
(b) Any ambitions set for a national food strategy need to be underpinned
by strong accountability measures, with progress against targets
reported on by Ministers to Parliament on a regular basis; and
(c) There is a need for stronger coordination and integration of the policies
that govern what the UK population eat and the ability to access a
healthy, sustainable diet.
Hungry for change: fixing the failures in food 143
506. In recognition of the central role played by food manufacturers, retailers and
the food services sector in influencing both the composition of food, and the
environment in which is it made available to the consumer, the Government
must ensure that as the National Food Strategy takes shape, it continues
to engage with these sectors, to ensure that they play their part in effecting
positive change within the food system.
510. In our inquiry, we were tasked with taking a broader view, to consider the
issue of food insecurity and its links to public health, but also to factors
within the wider food system, the impact of the food environment and food
sustainability. Our frustration is that the Government is failing to consider
the links between these issues.
511. We were made aware of the ongoing work in both Scotland and Wales to
develop national food policies. We have outlined the work that is being done in
Scotland and Wales in more detail later in this chapter but broadly, there was
recognition within the evidence of the benefit of the coordinated approach
taken by both countries in drawing together food, health, the environment
and inequalities under one overarching strategy. Professor Lang commented
that:
“In Wales, the Well-being of Future Generations (Wales) Act has had a
fundamental impact on getting the Wales Government to think about
their rural policy in relation to their health policy in relation to their
schools policy. In Scotland, the good food nation process, very ably
pushed and promoted by an extremely articulate and well-organised civil
society movement that goes from public health professions to straight
NGOs has been trying to think about what a small country can do …”662
Professor Lang went on to comment that:
“I would not have mentioned them [Scotland and Wales] if they were not
addressing exactly the agenda of this Committee. Both are addressing
health, environment and inequalities, because both those countries—
they are countries—have major problems on those fronts.”
Scotland
518. In 2009, the Scottish Government published Recipe for Success–Scotland’s
National Food and Drink Policy.666 In 2014, it published its national food
and drink policy: Becoming a Good Food Nation.667 This articulated a new
aspiration, to make Scotland by 2025: “a Good Food Nation, where people
from every walk of life take pride and pleasure in, and benefit from, the food
they produce, buy, cook, serve, and eat each day.”668
519. In setting out the activities that it is undertaking to meet the aims of the
Good Food Nation policy, the Scottish Government has been clear that it
does not consider legislation “essential to delivering action” on its Good
Food ambitions but that “legislation may help to underpin key measures and
activity. As such, it has committed to introducing a Good Food Nation Bill
to “underpin the significant work already undertaken across Government in
terms of key measures and activity to deliver a Good Food Nation.”669 The
Scottish Government have said that in work on their Good Food Nation Bill
they will: “focus on embedding processes for ensuring that the substance of
the right to food has effect as a matter of everyday good practice.”670
520. To help develop its policy, a non-statutory Scottish Food Commission was
established to “provide advice on the existing and future challenges facing
Scotland’s food culture and how these might be addressed.” The Commission
identified five key priorities for the Good Food Nation policy: health, social
665 Supplementary written evidence from HM Government (ZFP0098)
666 Scottish Government, Recipe for Success: Scotland’s national food and drink policy (18 June 2014): https://
www.gov.scot/publications/recipe-success-scotlands-national-food-drink-policy/ [accessed 30 June
2020]
667 Scottish Government, Good Food Nation Policy: https://www.gov.scot/policies/food-and-drink/good-
food-nation/ [accessed 30 June 2020]
668 Ibid.
669 Scottish Government, Good Food Nation: consultation (21 December 2018): https://www.gov.scot/
publications/good-food-nation-proposals-legislation/pages/3/ [accessed 30 June 2020]
670 Ibid.
146 Hungry for change: fixing the failures in food
Wales
524. The Welsh Government published its food strategy ‘Food for Wales,
food from Wales 2010–2020’ in December 2010. The strategy aimed to
consider: “health, food culture and education, food security, environmental
sustainability and community development to provide the basis for an
integrated approach to food policy in Wales.”677 The strategy identified four
key principles: sustainability, resilience, competitiveness; and profitability.678
The foreword for the strategy stated that: “The direction here is radical
and faces up to the challenges of ensuring that people have access to the
affordable and healthy food they need whilst ensuring that this does not
impact adversely on the natural environment.”679
525. David Morris, deputy head of the food division in the Welsh Government
explained to us:
“Our current action plan, which was the operational way to deliver
the food for Wales and food from Wales strategy, was published about
10 years ago and completes in 2020. It had a number of overriding
objectives: to establish a food industry board in Wales; to grow the
Welsh brand; and to upscale the industry, in the food manufacturing
sector workforce primarily. It had lots of initiatives and actions to grow
business and trade development, and a number of actions around the
area of food safety and food security, which included some public health
and nutrition actions.”
526. Mr Morris confirmed, when asked, that the primary objective of the strategy
was growing the food industry in Wales.680 Mr Morris stated:
“That strategy is complete. We had an overall growth turnover target of
£7 billion for what was the food and farming priority sector. That was
the way it was defined. We aimed to achieve that target by 2020 from a
baseline of just over £5 billion in 2013. We have exceeded that target. At
the end of 2019, we had reached £7.473 billion.”681
527. The Food for Wales strategy ends in 2020. The Welsh Government and the
Food and Drink Wales Industry Board are jointly producing a new plan to
support the sector. Mr Morris confirmed that a follow-on food strategy was
consulted on in 2019, and that a new food strategy would be announced later
in 2020.682
528. Wales has also introduced The Well-being of Future Generations (Wales)
Act 2015, that requires public bodies in Wales to “think about the long-term
impact of their decisions, to work better with people, communities and each
other, and to prevent persistent problems such as poverty, health inequalities
and climate change”.683 Mr Morris explained how the Well-being Act
impacted on the development of its food strategy:
“For example, when we are developing our food strategy, we must go
through a policy gateway process. There is a mapping exercise of our
proposals in relation to the well-being goals. There are seven well-being
goals: a prosperous Wales; a healthier Wales; a more resilient Wales; a
Wales of cohesive communities; a Wales of vibrant culture; a thriving
Welsh language; and a globally responsible Wales.”684
529. Mr Morris also explained the role of the Future Generations Commissioner
whose role is to ensure that policy, including food policy, adheres to its goals.
Mr Morris said:
“Public bodies have to identify their own future generations actions to
deliver on the Act. They have to report annually to the commissioner
on what they are doing and what they have achieved. The commissioner
will then provide feedback and may make recommendations for change.
Its advocates, including Sustain693 and Nourish Scotland694, believe that the
right to food should be embedded into UK law.Although this approach was
primarily related to addressing food insecurity and hunger, some suggested
that such a right would drive concerted and co-ordinated action towards
enabling access to a healthy diet for all, by:
558. When asked about his views as to whether some form of independent
oversight would be required to help deliver the aims of a future national food
strategy, Henry Dimbleby responded:
“It is clear to me that we need some structure to ensure ongoing co-
operation, but whether that is a law, a department, an ALB [arm’s length
body] or a set of targets that the Government have to put together, I do
not know yet. It is clear that we need something. If it just remained in
DEFRA, the energy would dissipate very quickly.”708
559. Advocates for such a body stated that it would increase accountability and
transparency, and drive action., we consider that such a body could:
• Collate, and have oversight of, data, relating to the food system (including
those relating to health, food insecurity and food sustainability) and
the progress made against targets set in those areas.
7. The Government should be fully aware of the cost of eating the diet it recommends,
and the ability of different demographic groups to access this diet. To underpin any
national food strategy, the Government must, in its 2021 review of benefits rates,
commit to giving its dietary guidance—the Eatwell Guide—a firm place in the
development of policy. (Paragraph 127)
8. The Government should embed consideration of the cost of the Eatwell Guide into
calculations of benefit payment rates. (Paragraph 132)
9. We recommend that the Government should undertake a fuller assessment of the cost
of a healthy and sustainable diet. The cost of the Government’s dietary guidance
should be built in as a reference point to consideration of government interventions,
including those relating to welfare and public food provision. (Paragraph 133)
10. For many, particularly those in the lowest income groups, food choices are
about whether they will produce a feeling of being satiated. Choices made by
people in lower income groups to prioritise food that is reliably satiating and
prevents waste over a nutritionally balanced diet should be understood as a
reasonable response to the economic reality they face. (Paragraph 140)
11. There are a series of hurdles to overcome to access a healthy diet. These
hurdles are particular to lower income groups, and their combined effect
means that it is significantly harder for people with a lower income to access
a healthy diet. The current food system requires much more of people with
fewer resources. (Paragraph 150)
18. We recommend that the Government outlines how it intends to mitigate the impact
that their eligibility proposals will have on those families who will lose eligibility for
free school meals. (Paragraph 206)
19. We recommend that the Government must undertake rigorous research on the impact
of Universal Infant Free School Meals on health and attainment outcomes and use
the results of this evidence base to inform future policy on school meals, including
breakfasts. (Paragraph 212)
20. The absence of any effective enforcement mechanism for school food
standards means that the nutritional value of the food a child receives at
school is one of chance rather than policy. It is difficult to understand what,
in truth, the school food standards achieve. (Paragraph 228)
21. Monitoring and evaluation of the school food standards must be centrally coordinated
to ensure consistent compliance. The Departments for Education and Health
and Social Care should establish a joint task force responsible for monitoring and
enforcing adherence to the school food standards. The taskforce should have the
power to publish the names of non-adhering schools and where necessary require the
development of an agreed action plan to meet standards. (Paragraph 229)
22. We recommend that the eligibility threshold for the National Schools Breakfast
Programme is lowered and funding increased to ensure that the programme reaches
all of those who need it. (Paragraph 241)
23. The National Schools Breakfast Programme must support and train facilitators to
enable schools to access future external funding. (Paragraph 242)
24. Notwithstanding Government support to access funds, central funding for the
National School Breakfast Programme must not be withdrawn all at once, producing
a ‘cliff edge’ effect. The funding must be removed gradually and only when schools
are able to access reliable sources of funding to sustain the clubs. (Paragraph 243)
25. We recommend that the Government should significantly extend the funding
provided through the Holiday Activities and Food programme to ensure that more
children can access holiday clubs. It should use generous thresholds based on the
Income Deprivation Affecting Children Index to determine which areas should
receive this funding. (Paragraph 253)
26. The benefits of high and robust standards for public procurement and public food
offerings are clear. The Government must strengthen and develop the Buying
Standards for Food and Catering Services to ensure that they fulfil their potential to
create a healthier and more sustainable food environment. In particular, the revised
standards should:
• Apply to all private suppliers contracted to provide food for the above;
• Disallow any escape clause, as currently exists, for measures on the basis of
cost; and)
160 Hungry for change: fixing the failures in food
the application of fiscal measures (such as further levies or changes to VAT) to other
product categories where reformulation is not in line with Government guidance or
targets. (Paragraph 401)
46. We recommend that the Government stands by its commitment to review the Soft
Drinks Industry Levy in 2020, and commits to extending the levy to other drinks
containing added sugar, including sugary milk-based drinks. It should also conduct
work to explore the impact of lowering the current sugar thresholds to encourage
further reformulation. It should rapidly determine which other food products high in
sugar could be subjected to a similar levy. (Paragraph 402)
56. The policy environment for farming has often been insufficiently stable
to enable individual farmers to make investment decisions on improving
efficiency or on the use of agricultural technology. (Paragraph 482)
57. The Government must ensure that the multi-annual financial assistance plans to
be published under the Agriculture Bill are stable and not subject to substantive
change: providing a sufficient amount of detail to allow farmers to make investment
decisions. (Paragraph 483)
58. Any investment in or policy change related to farming productivity, including
investment in agricultural technology or land use must take account of the
imperatives to avoid undermining the ability to produce food in the future, and to
protect biodiversity and animal welfare. (Paragraph 488)
59. Government must implement a mandatory reporting regime for adherence to
clear and consistent sustainability and health metrics, as well as adherence to
procurement standards. This should apply to all supermarkets, major food and drink
manufacturers, public procurers and their contracted suppliers, and food outlets.
(Paragraph 493)
60. Progress in tackling food waste will not be achieved without meaningful action from
the retail sector. The Government should embark on a concerted effort to encourage
sustainable purchasing behaviour from retailers. Consideration should be given to
financial disincentives for retail or purchasing practices which lead to excessive pre-
farm gate food waste. (Paragraph 501)
67. The Government must ensure that the appropriate Whitehall infrastructure is in
place to ensure that the aims of the forthcoming National Food Strategy can be co-
ordinated effectively across Government departments. (Paragraph 552)
68. Given the success of the salt reduction programme under the Food Standards Agency,
if industry fails to make the necessary progress against Government reformulation
targets, the Government should return the responsibility for nutrition, labelling
and reformulation programmes to the FSA, and provide it with the appropriate
resources. (Paragraph 555)
69. Given the importance of food policy and its overriding impact across a
range of sectors, we feel that there is a compelling argument for independent
oversight of all aspects of food policy in England. As the National Food
Strategy is a key opportunity for food policy to be embedded into other
related policy areas, its recommendations should not be enacted by DEFRA
alone, and some form of independent oversight is required to review the
future implementation of its recommendations. The Government, however,
does not appear to have given consideration as to how this might be achieved.
(Paragraph 562)
70. We recommend the establishment of an independent body, analogous to the Committee
on Climate Change, with responsibility for strategic oversight of the implementation
of the National Food Strategy. This should include the monitoring and reporting on
progress made against the health and sustainability targets outlined in paragraph
538. This independent body should have the power to advise the Government and
report to Parliament on progress. (Paragraph 563)
Hungry for change: fixing the failures in food 165
Members
Lord Krebs (Chair)
Baroness Boycott
The Earl of Caithness
Lord Empey
Baroness Janke
Baroness Osamor
Baroness Parminter
Baroness Ritchie
Baroness Sanderson
Baroness Sater
Lord Whitty
Declarations of interest
Baroness Boycott
Chair, Veg Power
Co-Chair, Feeding Britain
Trustee, Food Foundation
Trustee, StreetSmar
Patron, Sustain
Advisory panel, National Food Strategy
President, British Guild of Agricultural Journalists
Earl of Caithness
No relevant interests declared
Lord Empey OBE
No relevant interests declared
Baroness Janke
No relevant interests declared
Lord Krebs
Advisor to Marks & Spencer Plc
Chair, LEAP, programme advisory board
Advisor, Ajinomoto Co Inc
Trustee, Nuffield Foundation
Baroness Osamor
No relevant interests declared
Baroness Parminter
No relevant interests declared
Baroness Ritchie of Downpatrick
No relevant interests declared
Baroness Sanderson of Welton
No relevant interests declared
Baroness Sater
Patron, StreetGames
Lord Whitty
Vice President, Chartered Trading Standards Institute
Vice President, Local Government Association
166 Hungry for change: fixing the failures in food
A full list of Members’ interests can be found in the Register of Lords Interests:
https://www.parliament.uk/mps-lords-and-offices/standards-and-financial-
interests/house-of-lords-commissioner-for-standards-/register-of-lords-interests/
Specialist Adviser - Professor Martin White
Research leader of food systems and population health, MRC Epidemiology
Unit, University of Cambridge.
Director of Public Health Research Programme, National Institute of Health
Research (weekly Secondment).
Specialist Adviser- Professor Elizabeth Robinson
Head of Applied Economics and Marketing, School of Agriculture, Policy
and Development, University of Reading
Hungry for change: fixing the failures in food 167
Questions
1. What are the key causes of food insecurity in the UK?710 Can you outline any
significant trends in food insecurity in the UK? To what extent (and why)
have these challenges persisted over a number of years?
2. What are some of the key ways in which diet (including food insecurity)
impacts on public health? Has sufficient progress been made on tackling
childhood obesity and, if not, why not?
3. How accessible is healthy food? What factors or barriers affect people’s ability
to consume a healthy diet? Do these factors affect populations living in rural
and urban areas differently?
4. What role can local authorities play in promoting healthy eating in their
local populations, especially among children and young people, and those
on lower incomes? How effectively are local authorities able to fulfil their
responsibilities to improve the health of people living in their areas? Are
you aware of any existing local authority or education initiatives that have
been particularly successful (for example, schemes around holiday hunger,
providing information on healthy eating, or supporting access to sport and
exercise)?
5. What can be learnt from food banks and other charitable responses to
hunger? What role should they play?
6. What impact do food production processes (including product formulation,
portion size, packaging and labelling) have on consumers dietary choices
and does this differ across income groups?
7. What impact do food outlets (including supermarkets, delivery services,
or fast food outlets) have on the average UK diet? How important are
factors such as advertising, packaging, or product placement in influencing
consumer choice, particularly for those in lower income groups?
8. Do you have any comment to make on how the food industry might be
encouraged to do more to support or promote healthy and sustainable diets?
Is Government regulation an effective driver of change in this respect?
710 There is no universally accepted definition of food insecurity, but the most commonly used is: “limited
or uncertain availability of nutritionally adequate and safe foods or limited or uncertain ability to
acquire acceptable foods in socially acceptable ways (e.g. without resorting to emergency food
supplies, scavenging, stealing or other coping strategies).” (The Food Foundation, Too Poor to Eat:
Food insecurity in the UK, (May 2016): https://foodfoundation.org.uk/wp-content/uploads/2016/07/
FoodInsecurityBriefing-May-2016-FINAL.pdf. This definition was also used for the UK’s 2007 Low
Income Diet and Nutrition Survey.)
176 Hungry for change: fixing the failures in food
711 Scarborough, P, et al. Eatwell Guide: modelling the dietary and cost implications of incorporating new
sugar and fibre guidelines, 2016, https://bmjopen.bmj.com/content/6/12/e013182
Hungry for change: fixing the failures in food 177
Introduction
1. This note provides a summary of a series of telephone calls with people who
have experienced poverty and food insecurity. It contains a report of each
conversation.
Background
2. On 17 March 2020, the Committee was due to hold an informal engagement
session with people who have experienced food insecurity. Food Power,
an initiative run by Sustain and Church Action on Poverty had helped to
organise the event. Due to COVID-19 crisis, this event had to be cancelled.
3. In place of the session, on Friday 22 May and Wednesday 25 May 2020, the
secretariat undertook a series of phone calls with the individuals who had
planned to attend the original event. The secretariat was put in touch with
these witnesses by Simon Shaw, Programme Manager at Sustain, and Ben
Pearson, Empowerment Programme Officer at Church Action on Poverty,
who identified and contacted witnesses. The Clerk and the Policy Analyst
of the Committee led the phone calls, asking a set of questions that had
been circulated to the individuals beforehand, with the Committee Assistant
of the Committee taking notes. Ben Pearson also took part on the calls
and occasionally asked follow up questions (the note indicates where this
occurred).
4. All participants were informed of the purpose of the phone calls and gave
consent for their testimony and names to be published. The views outlined
in this note are those of the individuals we spoke to.
5. The team based each phone call around the following questions:
(a) How do you choose what to eat? What is most important?
(b) What does a healthy diet mean to you? Do any difficulties get in the
way of that? What would make it easier?
(c) How easy is it for you to cook? What would make it easier for you to
cook at home?
(d) What does food poverty look like for you or people in your community?
What effect does it have on daily life?
(e) What effect has coronavirus had on your diet or ability to access food?
What effect has it had in your community?
(f) Do you have any suggestions for what government, councils or other
public services could do to help?
(g) The Committee will be making suggestions to enable more people to
access a healthy diet. Is there anything you think they should understand
that they may not know?
180 Hungry for change: fixing the failures in food
• Penny reported that price was the overriding factor in choosing food and
stated: “It is what you can afford.”
• Penny referred to supermarkets reducing their prices at certain times and
said that she would choose from this section, looking at the reduced food to
plan what meals could be made from them.
• When asked about accessing healthy foods, Penny referred to price being the
main factor.
• She wondered whether people knew about healthy food and how to prepare
it.
• Penny told us that she would buy some kinds of food (for example, chicken
nuggets and chips) because she could be confident children would eat it, as
opposed to vegetables which would not be eaten, wasting money.
• She believed that healthy food costs more than other food.
Q. How easy is it for you to cook? What would make it easier for you to cook at
home?
Q. What does food poverty look like for you or people in your community? What
effect does it have on daily life?
Penny told us that:
• The amount of energy on the meter can limit what you cook: soup only
requires one pan, whereas a full meal requires more energy.
• Equipment is important: some people are only able to eat things that can be
heated in the microwave
• Food poverty has a big effect on daily life.
• There is a limited choice in the content of food parcels at food banks—you
get what you are given. You can also get given things in a food parcel that
you don’t have equipment to cook
• A lot of dietary requirements are not always considered in food parcels.
Penny told us that she has a dairy intolerance and cannot drink the long-life
milk in the food parcels
• Penny questioned the point of giving tins to homeless people—to eat tins you
need a tin opener, a pan, and a hob.
• Penny suggested that food can be more expensive if you have an intolerance.
She estimated that non-dairy milk is 40p more expensive than cows milk.
Q. What effect has coronavirus had on your diet or ability to access food? What
effect has it had in your community?
• Penny told us that printing vouchers is a barrier for accessing food, there is
nothing in place for those who cannot do so.
• Attending schools to collect meal vouchers is an added inconvenience
• She said that stockpiling had reduced the range of products available in the
shops. She believed that people on higher incomes have bought lots during
the pandemic, but waste more, so lots will spoil.
• Penny has extra food in her house and will give it to people on her estate who
are struggling: people will ask others in the community for help rather than
accessing help elsewhere. She told us: “It is a pride thing too, just because
you have no money does not mean you have no pride”.
Q. Do you have any suggestions for what government, councils or other public
services could do to help?
• Penny said that the Government should look at Universal Basic Income, so
everyone has same amount whether working or not. It would give enough
money to buy the food needed to stay alive. Penny praised nearby councils
for being connected: she believes they aim for people to be thought of as
people and not just a statistic.
• Penny said that Universal Credit is all online but that many people are
not tech-savvy or cannot afford to be. She pointed out that public WiFi is
unavailable at the moment, but if you don’t have access to WiFi you cannot
do the job searches required by Universal Credit
• Penny mentioned “next day shops” where you can bulk buy food about to go
out of date. Includes McDonalds and Greggs.
• Penny said she thought education on cooking and budgeting is important.
Schools need to: “Teach kids how to cook, especially on a budget”
• She said that Government funding cuts have diminished general support,
including citizens advice, which was great but has had cuts. Council used to
run drop-ins and tea sessions. She said that more support should be available
via phone for people who do not know how to fill in forms.
• Penny said that charities are taking on the bulk of responsibility over the
councils: “Charitable people have come in and propped it up, they’ve had
to take on more and more”. Penny said her local food bank closed before
lockdown due to the age of volunteers—leaving a provision gap of around a
month.
• When Ben Pearson asked about the impact of the COVID-19 outbreak on
her mental health, Penny said lockdown has had a big impact on mental
health. Her interactions with people have changed. She gets a phone call
from her mental health nurse every 6 weeks and her operations are delayed
until possibly next year.
• When asked if lockdown impacts on her dietary choices, Penny said: “Yes! If
you haven’t got it in, you aren’t going to risk going out and getting it.”
• Penny said that it is sometimes cheaper for her to buy a takeaway than to
cook. She said that the local chippy can feed three people for a fiver: cheaper
than in shops, especially when accounting for energy usage to prepare food.
She said that takeaway options are very unhealthy, fried and processed food,
full of fats and grease. She said that as long as kids are not crying because
they’re hungry–fast food is what you are going to do.
182 Hungry for change: fixing the failures in food
• Penny said that schools can give children fruit and vegetables, because they
can afford waste: but you can’t do that, you will give your kids food they are
going to eat
• Penny told us that three quarters of people on her estate use pre-payment
meters which are more expensive than paying by direct debit.
• Penny said that more people need to speak out. She believed that there has to
be more people like this who say: “I think this is wrong, we need the support”.
People who live like this shouldn’t have to live like this. She believed that
people should be shown that they can have a voice and can speak out, they
can be heard, and that this will show the Government that there are more
people in poverty than in wealth
Session 2: Tia, Blackburn with Darwen
Q. How do you choose what to eat? What is most important?
Q. What does a healthy diet mean to you? Do any difficulties get in the way of
that? What would make it easier?
Q. How easy is it for you to cook? What would make it easier for you to cook at
home?
• Tia told us that she distinguished between good weeks and bad weeks. If
it’s a good week, she will try to get ingredients to make a whole meal such
as curry (which is good because there will be leftovers for another meal).
On a bad week, she will have frozen food as it is a meal all in one, making it
cheaper overall than making a homemade meal. She said that if you buy a
frozen lasagne you can wait to cook it any night of the week but using fresh
ingredients a fresh one needs cooking within days so there is less flexibility.
• Tia has had free school meals. She was given £2. A hot meal is £1.50 so
she had to get the selected meals: she could not choose to add or mix the
elements of the meal. Tia told us that there are separate lines and tables for
free school meals and lunchboxes and different tables, so she feels like the
stigma starts very early on.
• Tia told us that if you have a choice of drink from the shops, a smoothie is £4
and coke is £1 so she thinks that healthy food is more expensive than cheap
food.
• Tia told us that school didn’t start until 9am and that you could get a free
piece of toast and tea at 8.30am but that lots of people didn’t come in early
for a piece of toast.
• Tia told us that to get free school meal vouchers during lockdown, children
have been asked to wear their school uniform and have to walk across town.
• Tia told us that she feels lots of people in her community are struggling with
food insecurity, but they don’t want to talk about it because there is such a
stigma.
• Tia told us that there are informal support networks for those who don’t have
family and that there is a Facebook group to get support. Otherwise friends
get food from friends to avoid being judged by anyone else.
Hungry for change: fixing the failures in food 183
Q. What effect has coronavirus had on your diet or ability to access food? What
effect has it had in your community?
• Tia told us that at the start there was panic buying before her mum had been
paid, so there were limits on how much they could get. At first, they couldn’t
get pasta. She said that usually her grandparents will provide lifts to get to
the shop. During lockdown, this couldn’t happen, so Tia’s mother now goes
out more often and does more trips to carry everything she will need for the
next few days.
• In the area where Tia lives there is one tiny ASDA, one Iceland and a giant
Sainsburys which she says is too expensive. Tia said that because the ASDA
is so small, people have to go to multiple shops to get what they need: there
are not as many deals or reduced items.
• Tia believed that there should be more awareness of the people who are
struggling: not everyone is experiencing the same problems.
• Tia explained some problems at school related to poverty and food insecurity.
Teachers might give detentions which take over half of lunchtime, and lunch
might be the first meal of the day for some children. She also provided
the example of a bake sale for a charity at school, where not everyone can
realistically donate. Tia said she felt like teachers were “picking on” students
who come in in their trainers, haven’t eaten and are misbehaving, rather
than wondering what else is going on. She said she felt like unhealthy food
options also affect behaviour and energy levels.
• Tia had cooking lessons in secondary school but she said that they are not
taught how to budget for the ingredients. She said that you are expected to
bring in the ingredients, and that students get a detention if you don’t have
the ingredients, but that their parents might not have been paid yet. Tia also
said that non-uniform days at school are £1 each. Tia is one of three siblings,
so her family has to spend £3.
Q. Do you have any suggestions for what government, councils or other public
services could do to help?
Q. The Committee will be making suggestions to enable more people to access a
healthy diet. Is there anything you think they should understand that they may
not know?
• Monica told us that it is what is the cheapest and what is available at the
time—things that are easy to cook. She said that she thinks fresh food is
more expensive so choosing what is cheap, including frozen, despite knowing
what is in it.
• Monica has to eat healthily because she has IBS, but has to really budget to
make do. When asked if anything other than price would make it easier to
choose the healthy food, Monica said no, only price. She said every penny
has to be budgeted on benefits.
Q. What does a healthy diet mean to you? Do any difficulties get in the way of
that? What would make it easier?
Q. How easy is it for you to cook? What would make it easier for you to cook at
home?
• Monica told us that not having cooking equipment gets in the way of
cooking—people make do or use a microwave. The right equipment would
make it easier to cook food, and a lot of people haven’t got access to a cooker
or cooking equipment at all.
• Monica said, when cooking, you have to make sure you have enough gas and
electric on the meter asking yourself if that is going to finish this meal. Then
it is a choice putting gas on with your last £10 or buy food with your last £10.
She said it can be very difficult at times.
Q. What does food poverty look like for you or people in your community? What
effect does it have on daily life?
• Monica works with people in extreme food poverty, and at the moment she
is seeing a lot of in-work poverty in Oxford, even more so since COVID
because people have lost their jobs, having to rely on foodbanks.
• When asked by Ben Pearson if in-work poverty is overlooked, Monica said
that people assume people in-work are ok, but some people are working three
or four jobs to keep a roof over their heads and food on the table. This gets
over-looked because they are working.
• Monica had previously been homeless. She said that when she had been
homeless, the idea of healthy food was not a priority compared to getting
enough food. She had known what a healthy diet was but couldn’t access
the facilities to be able to cook a healthy meal. Ben Pearson asked about
the impact of hunger on Monica’s mental health, she said that hunger does
impact on your mental health and on your tiredness, as well as on behaviour.
• Monica said that some of the people she works with don’t have a cooker or a
microwave just a single hob for beans and toast.
Q. What effect has coronavirus had on your diet or ability to access food? What
effect has it had in your community?
• Monica said that lots of children are going without a meal, as the only meal
of the day was at school. These children might just have a sandwich and a
packet of crisps.
Hungry for change: fixing the failures in food 185
• Monica works for a charity which has delivered 500 food parcels to the
vulnerably housed during April. When asked if there was support for this
charity from the Government to provide food during lockdown, Monica said
that there was hardly anything, and that charities and groups have formed
to fill the gap: this relies on the goodwill of the people of Oxford to come
together.
• When asked about the Free School Meal vouchers during coronavirus,
Monica said that the vouchers have not been accessible for a lot of people,
and that is what they rely on to purchase food. She said that the facilitator
was struggling to keep up with demand. The vouchers had taken weeks to
come through, then, when received, they often do not work in the shop.
Families then go back to the issuer, and the vouchers get resent. She said that
some schools just made up packs and delivered them to students.
• Monica told us that many adults are going without food because they would
rather their children eat. She thinks that this is more common now during
COVID-19 lockdown. She said that more people have been pushed to ask for
help, which they do not usually do because of shame and stigma.
• She spoke of some difficulties in applying for Universal Credit. She spoke
about job centre staff as being hit and miss with whether they are helpful
or truthful. She said Universal credit leaves very little money to buy healthy
food after bills. Many of her clients buy food and then don’t pay bills, getting
themselves into arrears.
Q. Do you have any suggestions for what government, councils or other public
services could do to help?
Q. The Committee will be making suggestions to enable more people to access a
healthy diet. Is there anything you think they should understand that they may
not know?
• Monica said that the Government should look at how little people get on
benefits and that it is not much once you’ve paid your bills.
• When asked about budgeting, Monica said that the job centres provide very
little help. There is a programme where job centres can “money manage”,
taking charge of the benefits received, paying bills, and paying small amounts
daily to recipients, which works in some scenarios but not in others. Monica
said that UC is a difficult system to navigate.
• Monica suggested more provision for breakfast clubs and afterschool clubs.
She said children go without breakfast and have to wait until lunch to get
food. After school clubs have been cancelled because of cuts to funding.
Session 4: Cath, Newcastle
Q. How do you choose what to eat? What is most important?
• When asked about priorities for food choices, Cath said that “full tummies
are at the top every time.”
• Cath said that the ‘yellow sticker’ reduction aisle is important. Cath waits
for items to be reduced by supermarket staff and doesn’t know anyone who
doesn’t do this. She buys minced meat and chicken as it can be used for
multiple dishes - people on a budget will have left over meat for another dish.
186 Hungry for change: fixing the failures in food
Q. What does a healthy diet mean to you? Do any difficulties get in the way of
that? What would make it easier?
• Cath said that she buys frozen vegetables as they are a lot cheaper than fresh.
This affects the variety of what one eats.
• When asked about food labelling, Cath stated that labels were not important:
fortnightly money arrives, bills are paid, then shopping has to be as economic
as possible. She said: “You just want to make sure tummies are full - you
don’t care about labels”.
• When asked about the logistics of shopping, Cath said that you might learn
times and places for reductions: that knowledge is shared with others in the
community. Cath does not drive, so she cannot do a full fortnightly shop.
Q. How easy is it for you to cook? What would make it easier for you to cook at
home?
• Cath told us that equipment in social housing can mean that cooking takes
much longer. When asked by Ben Pearson about energy costs, Cath stated
that she replaces cooked meals with sandwiches o-r porridge with water.
• Time was also an issue. She questioned why she would make her own pizza
when pizza can be bought for £1 and 15 minutes in the oven.
Q. What does food poverty look like for you or people in your community? What
effect does it have on daily life?
• Cath said that in the last few days before money arrives, she might only eat
one meal a day.
• Cath said that she thinks many people may not know they are in food poverty.
Taking food from donations, projects giving out food, and people sharing
food is very common and normal, it is just seen as people being kind.
• Cath spoke of disappointment from sharing information with charities and
completing surveys. “They’ve been surveyed to death”. People want to see
outcomes, and something change.
Q. What would you say is the most important effect of coronavirus for you? What
effect has coronavirus had on your diet or ability to access food? What effect has
it had in your community?
• Cath said she has had to admit she cannot navigate day to day life without
a mobility aid, so she has obtained one. She said that her mental health has
been bad during this time. She is worried she is putting a lot on her partner.
• She said that people are not aware of the support available, which is itself
sporadic. Cath stated that access to support is like a lottery, it is dependent
on having the right telephone number. People do not want to knock on
doors because of the virus, so many people have slipped through the net,
particularly those who do not have internet. She suggested that organisations
should do a leaflet drop, providing telephone numbers.
• When asked about the school meals vouchers, Cath stated that these now
have to be collected from the school on particular days.
Q. Do you have any suggestions for what government, councils or other public
services could do to help?
Hungry for change: fixing the failures in food 187
• Cath mentioned three local initiatives which she thought could be learnt
from and perhaps extended.
• The Pantry. This is an example of a social supermarket, to give dignity to
people using foodbanks. £1 joining fee, then donated food is purchased at
half-price. One can get extra big boxes of food.
• The Food Forest, Middlesbrough. Allowing people to grow their own food.
• Feeding Families. This organisation feeds people via social services and
job centres. Cath suggested that this organisation could tap into more local
groups, allowing them to access wider client groups. There should be some
way of combining that with other voluntary groups who are just as valuable.
Q. The Committee will be making suggestions they hope will allow more people
to have access to a healthy diet. Is there anything that you think they should
understand that they might not know?
• Heather said that price and time were the key points, and that it has to be
cheap and quick. She also said time was a factor and that she “doesn’t have
time to ‘chop everything individually”.
• Heather said she would only buy shop brands. Frozen vegetables are cheaper
in larger quantities. She gave the example of stir fry which uses frozen, pre
prepared food.
• When asked if she uses take-aways, Heather said she does, because it is
cheaper. She said that a standard portion of fish and chips will feed three
in her household. She said that this is around £5-£7 and can feed three for
a meal. Making it yourself can cost more, if not around the same. When
energy costs are factored in, it is more expensive to cook it yourself.
• Heather spoke about energy costs. She uses the electric cooker, rather than
gas. She had to change to electric cooker after having moved house and this
was an extra expense. She said sometimes she might have to choose between
cooking or putting the heating on. She talked about having to keep warm
without heating.
• Ben Pearson asked about logistics of shopping. Heather does one big shop
a month. For her, shopping on her own isn’t something she can do due
to disability as she needs help carrying things. Said she is lucky to have a
big Asda which is in theory within walking distance. She told us that she
does get deliveries but there is a minimum required spend on delivery, so
she sometimes has to go to the corner shop, which she thinks is far more
188 Hungry for change: fixing the failures in food
expensive. She said that a can of tomatoes can be 50p more in corner shop
than Asda.
Q. What does a healthy diet mean to you? Do any difficulties get in the way of
that? What would make it easier?
• Heather thought that fresh fruit and vegetables are more expensive. She
stated that you cannot eat healthily if living in food poverty. Focussing on
trying to get fruit and veg can waste money, leaving nothing for staples such
as pasta and bread. She said that with nuggets and chips, you get more for
your money—it lasts longer and feeds you more. Fruit and vegetables go off,
people need food that lasts.
• She said that, in the social supermarket (the Pantry), it is a ‘lucky dip’. She
said that there were lots of potatoes but not much in way of other vegetables
and fruit, which were also rare to see in the food surplus distribution centre.
She says that it is a struggle to eat healthily when using food surplus centres,
and that you can’t plan in the same way. Food choice depends on where she
can go shopping.
• She said that food is more expensive in the city centre (where she works), and
she cannot always bring food into work.
Q. How easy is it for you to cook? What would make it easier for you to cook at
home?
• When asked by Ben Pearson about energy costs, Heather suggested that if
essential uses of electricity (light, cooking etc) could be distinguished from
non-essentials, the essentials could be free. She said that people have to
choose between these things. She stated that it was depressing to be always
aware, she felt like had to ration the heating and always had to be conscious
of putting heat on for an extra half hour. She has had to give blankets to
friends visiting her, and felt like this put people off coming round. She felt
isolated because of this.
• Heather spoke about mental health getting worse when everything is
‘spiralling’.
Q. What does food poverty look like for you or people in your community? What
effect does it have on daily life?
Heather spoke about some techniques she has to follow to deal with food
poverty. These were:
• When asked what she does when there isn’t enough food in the cupboard,
Heather said that: “Most people just don’t eat.”
• Heather stated that “no one wants to admit it, they feel like failures”. It is
only when you have relationships with people that it is possible to admit food
poverty. One of her friends at the same place at work regularly has to say to
her, ‘I haven’t eaten in two days’. It took her friend a long time to ask for help.
“She is a proud woman and doesn’t want people to know she is struggling”.
• Heather referred to in-work poverty. There are 3 people in her household,
working most of the time, (one is part-time), but they still can’t afford food
all month round. She said: ‘there is always something going on which is
ruining their ability to get them through the month’
Q. What would you say is the most important effect of coronavirus for you? What
effect has coronavirus had on your diet or ability to access food? What effect has
it had in your community?
• Heather said that the 20% of pay that furloughed people are not receiving
might be their food budget for the month. She suggested that this could be
the difference between paying one bill and paying the food, then ending up
in debt, extra letters and stress on them. Then they have to choose bills over
food.
• Heather said that people in her community have always lived pay-check to
pay-check: she thinks that most people are about 2 bad months from being
homeless.
• Heather said she thinks that people don’t have money to save for a rainy day,
so there are no savings. For example, if the fridge or freezer breaks, they
won’t get a replacement for a long time.
• Heather said it is cheaper to buy frozen mince in bulk than fresh. Not
everyone has the space to store bulk bought products, so people are forced to
buy smaller, more expensive things (eg mince). They cannot stockpile.
• She can only buy some kinds of meat. For example, while she really likes
lamb, she would never buy it as it is always expensive. She always went
without lamb because she can make more with equivalent mince, which will
last longer, for less than the price of one leg of lamb. It also takes longer to
cook.
Q. Do you have any suggestions for what government, councils or other public
services could do to help?
• Heather said she would like to grow vegetables but has never been able to
afford an allotment. If there were more space, growing vegetables would be
a good idea, providing this food to the community.
• When Ben Pearson suggested that local councils should provide more
community gardens, Heather liked this idea. The allotments near her aren’t
owned by the council any longer, they are owned by a private group in
Newcastle area. “You don’t get a response from councils either”.
• Heather said it would be good if the community could use spare plots of land
near them, they could grow some vegetables, and, if not vandalised, it would
look nice.
190 Hungry for change: fixing the failures in food
Q. The Committee will be making suggestions they hope will allow more people
to have access to a healthy diet. Is there anything that you think they should
understand that they might not know?
• Heather said that a lot of people don’t want to be on benefits. She said people
feel like failures but sometimes they can’t help it, for example physical or
mental illness. Making PIP (Personal Independence Payments) easier to
access would be helpful for people with disability. She thought that universal
basic income would be a good idea, and give people the “ability to live, not
just survive”.
• She said that she thinks people working in DWP do not understand people’s
position because they have always got pay-checks coming in. She understands
the reality of people not knowing when next payment is going to come in, or
whether they are going to sanctioned if their baby’s ill: “they have never lived
it so they don’t know”.
• She spoke about “People having some humility”, and that people should
realise that not everyone getting benefits is a “scam artist”. She spoke about
the third generation of families not working, but this can be to do with ill
health or poor mental health. She feels that relationships should be built to
try and understand the reasons behind not working. She said that workers in
job centre should have more empathy for people who are not having a good
time but are trying to do the best they can.
• Heather sits on the financial exclusion group in her local council. She said
she “tells them how it is”. She passes on the experiences of others, providing
a voice: “we are not there to look at figures but they can put figures where
they need to” She said that: “Unless people tell them they won’t know!”
• Asked by Ben Pearson if all councils should have this function, Heather said
that she thinks this should be mandatory. She said all councils should have a
group of people who can state ‘grass roots’ views. Every council should have
this interaction with people.
Hungry for change: fixing the failures in food 191
Members of the Committee and the secretariat were due to travel to Leeds on
18 March 2020 to understand the work done by Leeds Council and by local
organisations in tackling issues regarding food insecurity in the area. Unfortunately,
due to the COVID-19 outbreak, this trip had to be cancelled.
The Committee was due to meet with members of Leeds Council and representatives
from local organisations. The visit would have included a visit to the Compton
Centre, which is one of the Council’s Community Hub sites. The Committee
delegation was also due to visit Neruka’s Soup Kitchen, a project providing meal
provision for people in need of food, and CATCH, a community café and Healthy
Holidays Programme Leader.
We are grateful to Emma Strachan and Nick Hart of Leeds Council who helped to
plan the visit and who have very kindly shared the planned presentations from the
organisations we would have met, as well as a briefing712 detailing their response
to the coronavirus crisis.
The following organisations supplied presentations as written evidence to the
Committee:
• Foodwise Leeds714
• FareShare Yorkshire715