Food Safety Handbook A Practical Guide for Building a Robust Food Safety Management System International Finance Corporation Food Safety Handbook Food Safety Handbook A Practical Guide for Building a Robust Food Safety Management System International Finance Corporation © 2020 The World Bank Group 1818 H Street NW, Washington, DC 20433 Telephone: 202-473-1000; Internet: www.worldbank.org Some rights reserved 1 2 3 4 23 22 21 20 This volume is a product of the staff of the World Bank Group with external contributions. The World Bank Group refers to the member institutions of the World Bank Group: The World Bank (International Bank for Reconstruction and Development); International Finance Corporation (IFC); and Multilateral Investment Guarantee Agency (MIGA), which are separate and distinct legal entities each organized under its respective Articles of Agreement. The findings, interpretations, and conclusions expressed in this volume do not necessarily reflect the views of the Directors or Executive Directors of the respective institutions of the World Bank Group or the governments they represent. The World Bank Group does not guarantee the accuracy of the data included in this work. The boundaries, colors, denominations, and other information shown on any map in this work do not imply any judgment on the part of The World Bank Group concerning the legal status of any territory or the endorsement or acceptance of such boundaries. The contents of this work are intended for general informational purposes only and are not intended to constitute legal, securities, or investment advice, an opinion regarding the appropriateness of any investment, or a solicitation of any type. World Bank Group institu- tions or their affiliates may have an investment in, provide other advice or services to, or otherwise have a financial interest in, certain of the companies and parties (including those named herein). Nothing herein shall constitute or be considered to be a limitation upon or waiver of the privileges and immunities of any of the institu- tions of The World Bank Group, all of which are specifically reserved. Rights and Permissions This work is available under the Creative Commons Attribution 3.0 IGO license (CC BY 3.0 IGO) http://creativecommons.org/licenses​ /by/3.0/igo. Under the Creative Commons Attribution license, you are free to copy, distribute, transmit, and adapt this work, including for commercial purposes, under the following conditions: Attribution—Please cite the work as follows: International Finance Corporation. 2020. Food Safety Handbook: A Practical Guide for Building a Robust Food Safety Management System. Washington, DC: World Bank. doi:10.1596/978-1-4648-1548-5. License: Creative Commons Attribution CC BY 3.0 IGO Translations—If you create a translation of this work, please add the following disclaimer along with the attribution: This translation was not created by The World Bank Group and should not be considered an official World Bank Group translation. The World Bank Group shall not be liable for any content or error in this translation. Adaptations—If you create an adaptation of this work, please add the following disclaimer along with the attribution: This is an ­ adaptation of an original work by The World Bank Group. Views and opinions expressed in the adaptation are the sole responsibility of the author or authors of the adaptation and are not endorsed by The World Bank Group. Third-party content—The World Bank Group does not necessarily own each component of the content contained within the work. The World Bank Group therefore does not warrant that the use of any third-party-owned individual component or part contained in the work will not infringe on the rights of those third parties. The risk of claims resulting from such infringement rests solely with you. If you wish to re-use a component of the work, it is your responsibility to determine whether permission is needed for that re-use and to obtain permission from the copyright owner. Examples of components can include, but are not limited to, tables, figures, or images. All queries on rights and licenses should be addressed to World Bank Publications, The World Bank Group, 1818 H Street NW, Washington, DC 20433, USA; e-mail: pubrights@worldbank.org. ­ ISBN (paper): 978-1-4648-1548-5 ISBN (electronic): 978-1-4648-1549-2 DOI: 10.1596/978-1-4648-1548-5 Cover photo: A group of women work in a selection line of an olive factory in Lima, Peru. © Christian Vinces / Shutterstock.com. Used with the permission of Christian Vinces / Shutterstock.com. Further permission required for reuse. Cover and interior design: Kirsten Dennison The Library of Congress Control Number has been requested. Contents Foreword . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . xi Acknowledgments. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . xiii Abbreviations . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . xv Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 1 CHAPTER 1  Food Safety Standards and Schemes 5 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 6 BRC Global Standards. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .6 International Featured Standards . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 8 Food Safety System Certification 22000 . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 9 The PrimusGFS Standards . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 10 The Global Red Meat Standard . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 11 CanadaGAP . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 12 GLOBALG.A.P.. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 13 The Seafood Processing Standard of the Global Aquaculture Alliance. . . . . . . . . . . 14 The Safe Quality Food Institute Standard. . . . . . . . . . . . . . . . . . . . . . . . . . . . 15 The Japan Food Safety Management Association. . . . . . . . . . . . . . . . . . . . . . . 16 ASIAGAP and Japan GAP . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 17 Other GFSI-benchmarked standards and certification programs . . . . . . . . . . . . . 18 The Global Markets Program . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 20 Notes. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 20 References. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 20 v vi  ▪  Contents CHAPTER 2  Principal Food Safety Regulations 23 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 24 The main food safety regulations. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 24 Requirements for FBOs. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 28 Import and export. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 37 Regulatory authority. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 39 Other relevant regulations. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 40 Other jurisdictions: The Eurasian Economic Union . . . . . . . . . . . . . . . . . . . . . . 44 Notes. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 51 References. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 53 CHAPTER 3  Food Safety Tools and Techniques 55 An overview of prerequisite programs. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 56 General information on PRPs . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 57 PRP workbook: Instructions and examples. . . . . . . . . . . . . . . . . . . . . . . . . . . 59 ▪▪ PRP 6: Utilities—supply of air, water, and energy. . . . . . . . . . . . . . . . . . . . . . . . . 60 ▪▪ PRP 9: Management of purchased materials. . . . . . . . . . . . . . . . . . . . . . . . . . . . 72 ▪▪ PRP 11: Cleaning and sanitizing. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .86 ▪▪ PRP 12: Pest control. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 100 ▪▪ PRP 13: Personnel hygiene and employee facilities. . . . . . . . . . . . . . . . . . . . . . . . .112 ▪▪ PRP 14: Rework. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 128 General information on HACCP. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 140 ▪▪ Main work sheets. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 145 • Work sheet 1: HACCP scope. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 145 • Work sheet 2: Product and ingredient description . . . . . . . . . . . . . . . . . . . . . . . 147 • Work sheet 3: Flow diagram. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 152 • Work sheet 4: Hazard identification and description. . . . . . . . . . . . . . . . . . . . . 154 • Work sheet 5: Control measure selection and categorization . . . . . . . . . . . . . . . . 158 • Work sheet 6: Validation of control measures . . . . . . . . . . . . . . . . . . . . . . . . . 160 • Work sheet 7: Hazard control plan . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 162 • Work sheet 8: Verification plan . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 164 • Work sheet 9: Modification and follow-up . . . . . . . . . . . . . . . . . . . . . . . . . . . 166 • Work sheet 10: Meeting summary . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 167 Contents  ▪  vii ▪▪ Supplementary work sheets. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 168 • Work sheet A: Hazardous agent codes and classification. . . . . . . . . . . . . . . . . . 168 • Work sheet B: Hazard assessment table . . . . . . . . . . . . . . . . . . . . . . . . . . . . 169 • Work sheet C: HACCP list of supporting documents. . . . . . . . . . . . . . . . . . . . . 170 Two other analysis and critical control point systems . . . . . . . . . . . . . . . . . . . . 171 Instructions and sample work sheets: Threat assessment and Annex 3A.  critical control point ���������������������������������������������������������������������������������������������������172 ▪▪ WS 1 Overview and guide: TACCP work sheets . . . . . . . . . . . . . . . . . . . . . . . . . 172 ▪▪ WS 2 TACCP instructions and content. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 173 ▪▪ WS 3 Threat and vulnerability scope. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 174 ▪▪ WS 4 Terms and definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 175 ▪▪ WS 5 Threat assessment critical control point. . . . . . . . . . . . . . . . . . . . . . . . . 176 ▪▪ WS 6 Types of threats and case study examples. . . . . . . . . . . . . . . . . . . . . . . . 178 ▪▪ WS 7 Understanding the attacker. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 180 ▪▪ WS 8 Assessing threats, vulnerabilities, and risk . . . . . . . . . . . . . . . . . . . . . . . . 181 ▪▪ WS 9 Critical controls for consideration. . . . . . . . . . . . . . . . . . . . . . . . . . . . . 184 ▪▪ WS 10 Response to an incident. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 185 ▪▪ WS A Site team. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 185 ▪▪ WS B Site plan . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 186 ▪▪ WS C Flow diagram . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 187 ▪▪ WS D Types of threat . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 188 ▪▪ WS E TACCP site self-assessment. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 189 ▪▪ WS F Site threat identification . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 198 ▪▪ WS G Risk register. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 204 ▪▪ WS H Threat decision tree . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 205 Annex 3B. Guidelines: Vulnerability assessment and critical control point. . . . . . . 206 Notes. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 208 References. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 208 CHAPTER 4  FSMS Procedures and Documentation 209 Documentation overview . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 210 Documented procedures. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 211 Work instructions . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 213 Hazard control plan . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .213 Specifications. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .213 viii  ▪  Contents Forms. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 214 Records . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 214 The approval, issue, and control of FSMS documents . . . . . . . . . . . . . . . . . . . . 214 Record retention. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .215 Note . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 217 Reference . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 217 Food safety management system procedures: Templates and instructions . . . . . . .218 ▪▪ Control of Documents. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 218 ▪▪ Control of Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 228 ▪▪ Control of Nonconforming Product. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 232 ▪▪ Hygiene Procedure . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 238 ▪▪ Internal Auditing. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 245 ▪▪ Allergen Control. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 253 ▪▪ Mock Recall . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 257 ▪▪ Correction and Corrective Action . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 265 ▪▪ Traceability. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 271 ▪▪ Identification and Evaluation of Compliance. . . . . . . . . . . . . . . . . . . . . . . . . . . 282 ▪▪ Training and Development. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 287 ▪▪ Complaint Management . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 296 ▪▪ Pest Control. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 301 ▪▪ Management Review . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 304 ▪▪ Calibration. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 310 ▪▪ Product Recall and Withdrawal . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 322 ▪▪ Food Defense . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 328 ▪▪ Food Fraud and Vulnerability. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 339 CHAPTER 5  Food Safety Training 347 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 348 When is training necessary? . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 348 What to look for in a training provider. . . . . . . . . . . . . . . . . . . . . . . . . . . . . 352 Where can FBO management find learning professionals or training courses? . . . . 354 Developing a training program . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 354 What does an auditor seek when assessing food safety training?. . . . . . . . . . . . 364 The responsibility matrix and training needs analysis . . . . . . . . . . . . . . . . . . . . 365 References. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 372 Contents  ▪  ix CHAPTER 6  Guidance for FBO Management 373 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 374 Food safety policy . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 374 Leadership and commitment . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 375 Resources . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 376 Toolkits. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 378 ▪▪ Toolkit 1: Results of a sample management review . . . . . . . . . . . . . . . . . . . . . . . 378 ▪▪ Toolkit 2: The cost of nonquality. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 389 Notes. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 397 References. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 397 APPENDIX A  Institutions and Other Entities Involved in Food Safety 399 Foreword Every year, millions of people around the world suffer from serious foodborne illnesses. Food safety is a global issue that is more urgent than ever as the global population races toward a projected 9 billion by 2050. The demand for safe food is growing, pressuring the world’s food supply chains, and leaving no room for complacency or slack standards. In addition to posing health risks, foodborne illnesses can wreak considerable economic damage. The Safe Food Imperative, a 2018 World Bank report, estimates that food safety issues cost developing countries staggering $110 billion in lost productivity and medical treatment in 2016 alone. a ­ A single serious food safety lapse can badly tarnish the brands of restaurants, hotels, and food producers and processors, which can require years of investment and trust-building to repair. The good news is that most food safety issues are preventable, especially if they are addressed systematically. Businesses that establish rigorous food safety systems are also in a better position to expand and attract investment. In surveys conducted in 2010–18, approximately 27 client companies of the International Finance Corporation (IFC) attributed $478 million in increased sales and $564 million in investment to better food safety practices. IFC’s Food Safety Handbook: A Practical Guide for Building a Robust Food Safety Management System, now in its fourth edition, has input from leading industry experts to identify and eliminate problems along the entire food supply chain long before they affect consumers or the bottom line of businesses. The handbook is a practical instruction manual aimed at business owners who seek to develop or improve a food safety system. Companies of any size, location, or point along the food production chain can apply the handbook’s rules and lessons to establish a systematic approach to food safety. The handbook’s templates can also be tailored to specific needs. The handbook has proven successful with food sector businesses in Africa, Asia, and Europe, providing practi- cal information that covers prerequisite programs, the hazard analysis critical control point (HACCP) system, food safety management system documentation, international best practice and legislation, and guidance for top management. xi xii  ▪  Foreword This latest edition, the first since 2016, includes revised food safety standards and legislation, updated tools and techniques for implementing food safety systems, and new information on management’s role and responsibilities regarding food safety. This update also features the latest Global Food Safety Initiative (GFSI) benchmarking requirements and the new version of International Organization for Standardization (ISO) 22000:2018, the food safety management standards. As a global leader supporting sustainable private sector development in emerging markets, IFC takes food safety seriously. This handbook will help small and large businesses in emerging markets and more-developed economies to feel secure knowing the foods they produce, process, serve, store, or ship are always safe to eat. Tania Lozansky Senior Manager Manufacturing, Agribusiness, and Services Advisory International Finance Corporation Acknowledgments This handbook has been prepared and published thanks to the efforts of many dedicated professionals. The core team, led by Natia Mgeladze, Food Safety Specialist, International Finance Corporation (IFC), included Michael Gerard Kelly of the Kelmac Group, Ireland; Rob Kooijmans, Food Safety Experts, the Netherlands; and Mark Nielsen, Consultant, Small and Medium Enterprises and Value Chain Solutions, IFC Financial Institutions Group. Many thanks also to the following IFC staff for producing and reviewing the handbook’s contents: Sarah Ockman, Yuriy Zvazhenko, Kateryna Onul, Uy Duc Pham, Jacqueline Khanali Njonjo, Jason Hopps, Beverley McDonald, Irina Sarchenko, Deepa Chakrapani, Elaine Reinke, and Maria Paulina Mogollon. Special acknowledgments go to Steven M. Jaffee, Lead Agricultural Economist, Food and Agriculture Global Practice, World Bank; and Lystra N. Antoine, Program Manager, Food and Agriculture Global Practice, World Bank. Those outside the World Bank who have dedicated time and effort to review the handbook include Delia Grace Randolph, Program Leader (joint) Animal and Human Health, International Livestock Research Institute; Marlynne Hopper, Deputy Head of Standards and Trade Development Facility, World Trade Organization; and Akhila Vasan, Program Manager, Food Safety and Education, Science and Education Foundation, Grocery Manufacturers Association. The combined efforts of these individuals have helped deliver a document we hope will support food sector businesses around the world for years to come. This fourth edition of the Food Safety Handbook has been generously funded by the World Bank Group’s Creating Markets Advisory Window. Thanks are also due to the Austrian Ministry of Finance and the Royal Norwegian Ministry of Foreign Affairs for funding and supporting the first three editions. xiii Abbreviations 5S program sort, set in order, shine, standardize, sustain CAC Codex Alimentarius Commission CCP critical control point CFR Code of Federal Regulations (United States) CU customs union DMS document management system EAEU Eurasian Economic Union EC European Commission ELISA enzyme-linked immunosorbent assay EU European Union FBO food business operator FDA Food and Drug Administration (United States) FSIS Food Safety and Inspection Service (United States) FSMA Food Safety Modernization Act (United States) FSMS food safety management system FSSC Food Safety System Certification GAP good agricultural practice GDP good distribution practice GFSI Global Food Safety Initiative GHP good hygiene practice GMP good manufacturing practice HACCP hazard analysis critical control point HRMS human resources management system IFC International Finance Corporation ISO International Organization for Standardization MRL maximum residue level OPRP operational prerequisite program PRP prerequisite program SMART specific, measurable, attainable (or achievable), realistic, and time-bound SOP standard operating procedure xv xvi  ▪  Abbreviations SWOT strengths, weaknesses, opportunities, and threats TACCP threat assessment and critical control point TR technical regulation TS technical specification USDA U.S. Department of Agriculture VACCP vulnerability assessment and critical control point Note: All dollar amounts are U.S. dollars ($) unless otherwise indicated. Introduction The IFC and global food safety The International Finance Corporation (IFC)—part of the World Bank Group—is the largest global develop- ment institution focused on the private sector in emerging markets.1 It works with more than 2,000 businesses worldwide, using its capital, expertise, and influence to create markets and opportunities in the toughest business environments in the world. In fiscal year 2018/19, it delivered more than $19 billion in long-term financing among developing countries, leveraging the power of the private sector to reduce extreme poverty and boost shared prosperity. Developing agribusiness IFC has made agribusiness a priority because of the potential of agribusiness for broad development impacts and an especially strong role in poverty reduction. IFC combines investment and advisory services to support the sector in addressing the growing demand and escalating food prices in an environmentally sustainable and socially inclusive manner. IFC invests across the agribusiness supply chain, from farm to retail, to boost production, increase liquidity, improve logistics and distribution, and expand the access to credit among small farmers. The IFC approach in agribusiness is comprehensive and covers the entire value chain. IFC aims to bring land into sustainable production, enhance productivity by transferring technologies and proven prac- tices, and make the best use of water and other natural resources. As urbanization continues, IFC works to support efficient supply chains to bring safe, affordable food to cities. To help clients prefinance inventories, seeds, fertilizers, and chemicals among farmers, IFC offers working capital facilities. It is helping clients main- tain competitiveness, upgrade sanitary and food safety standards, and expand market access. With both the private sector and the public sector, it pursues investments in infrastructure—including in ports, warehouses, cold storage, and telecommunication—that can facilitate trade and reduce costs. To reach small farmers and rural enterprises, particularly in low-income countries, IFC is working with trading companies and financial intermediaries, helping channel financing and advisory services effectively. The IFC global food safety platform For more than 15 years, the IFC global food safety platform has provided high-quality professional services to help more than 200 companies apply international food safety standards and adapt sustainable business models.2 IFC support includes food safety assessments, staff training, and guidance in obtaining international certification. Improved food safety is helping IFC clients meet regional and export market requirements, attract investment, realize cost savings, and strengthen brands. The twin goals of the IFC global food safety platform are healthier balance sheets and high-quality food on plates. 1 2  ▪  FOOD SAFETY HANDBOOK Purpose of the handbook The IFC Food Safety Handbook is designed to enable enterprises in developing markets to reduce key risks in growing a sustainable food business to meet the ever-increasing demands, needs, expectations, and trust of customers, wholesalers, retailers, government food safety regulators, and, ultimately, consumers. IFC has developed the handbook with the support of food industry experts. It is based on Codex Alimentarius require- ments and best industry practices and standards.3 The handbook provides companies with the expertise to develop, implement, and maintain modern food safety management systems based on hazard analysis critical control point (HACCP) system principles.4 HACCP aims to identify and prevent potential food safety problems proactively. In simple terms, this means safely handling and storing ingredients and supplies that enter and exit food sector businesses. The handbook offers an entirely voluntary system to help companies identify gaps in their existing practices and develop more efficient food safety systems. By following the sections relevant to their facilities and busi- ness, companies may carry out the following: ▪▪ Apply the handbook within any process regardless of production facility size or location and regardless of food safety sophistication ▪▪ Develop systemic science-based approaches to food safety management ▪▪ Benchmark a food safety system against the best international practice ▪▪ Use the handbook as a simple, practical self-service tool, replicating the steps it describes on all production lines as necessary ▪▪ Tailor the handbook templates in accordance with enterprise needs Organization of the handbook The handbook consists of six chapters. It serves as a clear and informative road map to help companies man- age their food safety systems. The purpose of each chapter is as follows: Chapter 1 offers an overview of the Global Food Safety Initiative (GFSI) and other food safety management system (FSMS) schemes and standards that a food sector business might implement to manage food safety.5 The schemes and standards highlighted in the handbook are all based on international best practices and recognized by the GFSI. Chapter 2 provides an overview and the best sources of currently available primary food safety legislation, plus a description of food sector companies and of the roles and responsibilities of various enforcement agencies. The chapter also outlines how companies may demonstrate their legal compliance with food safety requirements. It includes useful links to new food safety amendments and related regulations. Chapter 3 provides information on the dairy sector prerequisite program (PRP) and HACCP system imple- mentation and two other analysis and critical control point systems (TACCP and VACCP). The methodologies described may be applied to any food products. The chapter consists of two main elements: (1) an overview of PRPs based on the requirements of International Organization for Standardization technical specification (ISO/TS) 22002-1, six examples of PRPs associated with milk ­ processing based on ISO/TS 22002-1, a PRP template that food business operators (FBOs) can use to develop PRPs (editable templates can be found at http://www.ifc.org/foodsafety/handbook/templates), and general ­ information on planning and developing PRPs and (2) general information on the HACCP, including history, principles, and benefits. 6 Preliminary steps for developing an HACCP system are also outlined, and an ­ example is given of a milk-processing HACCP plan based on ISO 22000:2018. In the milk-processing example, two critical control points (CCPs) Introduction  ▪  3 and one operational prerequisite program (OPRP) are described. Also included is an HACCP plan template and TACCP/VACCP templates to help FBOs develop their own HACCP plans (editable templates can be found at http://www.ifc.org/foodsafety/handbook/templates). Based on the example of the dairy sector, chapter 4 explains how to establish and develop FSMS procedures and documentation. The chapter provides an overview of a typical FSMS documentation structure or hier- archy, an explanation of the purpose and benefits of a documented FSMS, a description of the various doc- uments needed for an FSMS (such as documents on policies, objectives, procedures, work instructions, food safety plans, specifications, and forms and records), and the control of FSMS documents and general infor- mation on record management and retention. The chapter also offers examples of the primary documented procedures an FBO is likely to need, as defined by the various GFSI and other FSMS schemes, and a basic example of a food defense plan, a vulnerability assessment, and a food fraud remediation plan enabling the FBO to meet its food security requirements. Chapter 5 supplies general information on training and development; an example of a training and develop- ment procedure; an example of an FSMS responsibility, training needs analysis, and training plan; an FSMS training and development matrix; and a description of methods followed to evaluate the effectiveness of a training program an FBO might consider implementing as part of its FSMS. Chapter 6 describes the establishment and development of a food safety policy, methods for demonstrating the commitment of top management, and the resources required to establish, develop, implement, and maintain an effective FSMS. This chapter also includes an example of an FSMS management review procedure and a PowerPoint template that might be used by FBOs to document the results of an FSMS management review, including the evaluation of follow-up activities. The section on nonquality costs will help FBO management understand more fully the costs involved in nonquality. Figure I.1 provides a visual description of how these chapters fit together. Figure I.1  The Food Safety House Chapters 4, 5, 6 Food safety policy, objectives, Laws, regulations, and rules GFSI-recognized standards documentation, and training and schemes Chapter 2 H A C C P Chapter 3 Prerequisite programs (good manufacturing practices, good hygiene practices) 4  ▪  FOOD SAFETY HANDBOOK Notes 1. The IFC website is at https://www.ifc.org/wps/wcm/connect/corp_ext_content/ifc_external_corporate_site/home. 2. For more information on IFC food safety advisory services or questions about this handbook, contact Sarah Ockman, Program Lead, at sockman@ifc.org, or consult “Global Food Safety Advisory Program,” International Finance Corporation, Washington, DC, http://www.ifc.org/foodsafety. 3. See “Codex Alimentarius: International Food Standards,” Joint Food and Agriculture Organization of the United Nations–World Health Organization Food Standards Programme, Rome, http://www.fao.org/fao​ -who-codexalimentarius/en/. 4. See “Hazard Analysis Critical Control Point (HACCP),” U.S. Food and Drug Administration, Silver Spring, MD, https://www.fda.gov/food/guidance-regulation-food-and-dietary-supplements/hazard-analysis​ -critical-control-point-haccp. 5. See “Global Food Safety Initiative,” Consumer Goods Forum, Levallois-Perret, France, https://mygfsi.com/. 6. To find ISO/TSs and standards, go to the website of the ISO, at https://www.iso.org/home.html, and enter the ISO reference designation, such as ISO/TS 22002-1, in the space provided next to the search icon. CHAPTER 1 Food Safety Standards and Schemes 1 CHAPTER 6  ▪  FOOD SAFETY HANDBOOK Introduction This chapter provides an overview of voluntary food safety and food quality schemes and standards applicable among food business operators (FBOs).1 The chapter includes a variety of private and government certification programs and standards for food safety management recognized by the Global Food Safety Initiative (GFSI). The GFSI is a facilitated collaboration between food safety experts in retail, manufacturing, and food service companies, as well as international organizations, governments, academia, and service providers. It provides leadership and guidance on food safety management systems (FSMSs) in the food supply chain. It is managed by the Consumer Goods Forum, a global parity-based food industry network.2 GFSI recognition offers a passport to the global market among both recognized certification program owners and the companies they certify. To be recognized by the GFSI, certification program owners must verify that they meet the GFSI benchmarking requirements, one of the most widely accepted benchmarking schemes across food safety programs (GFSI 2018). The GFSI benchmarking requirements were created in 2001 by a group of retailers motivated by the need to harmonize food safety standards across the global supply chain. The requirements are frequently updated with input from food safety experts around the world to keep up with food safety trends. They do not con- stitute a food safety standard in their own right, nor can food businesses be audited or certified against them. Recognized certification program owners are relied on to undertake these roles. In fact, the knowledge pos- sessed by FBOs on these schemes and standards is limited. This is partly caused by the large number of FSMS schemes and standards already in the market. This chapter offers an overview of food safety certification programs and standards as an aid in helping FBOs consider which FSMS scheme may be most relevant to them, their customers, and consumers. BRC Global Standards The BRC Global Standards represent a safety and quality certification program used by over 28,000 certifi- cated suppliers in more than 130 countries. Certification is issued through a worldwide network of accredited certification bodies. The BRC Global Standards are a market-leading global brand that helps build confidence in the supply chain. Its standards for food safety, packaging and packaging materials, storage and distribu- tion, consumer products, agents and brokers, and retail set the benchmark for good manufacturing practices (GMPs) and help provide assurance to customers that products are safe, legal, and high quality (table 1.1). The BRC Global Standard for Food Safety, issue 8, was published in 2018 (BRCGS 2018). It provides a framework for managing product safety, integrity, legality, and quality and for the operational controls of the associated criteria in food and food ingredient manufacturing, processing, and packing. This BRC Global Standard focuses on the following: ▪▪ Encouraging the development of a product safety culture ▪▪ Expanding the requirements for environmental monitoring to reflect the increasing importance of this technique ▪▪ Encouraging sites to develop systems for security and food defense ▪▪ Adding clarity to the requirements for high-risk, high-care, and ambient high-care production zones ▪▪ Providing greater clarity for sites manufacturing pet foods ▪▪ Ensuring global applicability and benchmarking for the GFSI Food Safety Standards and Schemes   ▪  7 CHAPTER Table 1.1  BRC Global Standards and the GFSI Standard GFSI benchmarked? GFSI scope Food safety, version 8 Yes BII, C0, CI, CII, CIII, CIV, K 1 Packaging and packaging materials, version 5 Yes I Storage and distribution, version 3 Yes G Agents and brokers, version 2 Yes FII Consumer products, version 4 No Retail, version 1 No Ethical trade and responsible sourcing, version 1 No Gluten-free certification program No Plant-based global standard No Sources: BRCGS 2015, 2016a, 2016b, 2016c, 2016d, 2017, 2018, 2019. Note: The BRC Global Standard for Food Safety, issue 8, is recognized by the GFSI. The letters in the right column refer to GFSI scopes of recognition, as follows: BII = farming of grains and pulses; C0 = animal primary conversion; CI = processing of perishable animal products; CII = processing of perishable plant products; CIII = processing of perishable animal and plant ­ products (mixed products); CIV = processing of ambient stable animal and plant products (mixed products); FII = food broker/agent; G = provision of storage and distribution services; I = production of food packaging; K = production of (bio)chemicals and biocultures used as food ingredients. The BRC Global Standard for Food Safety is divided into nine sections, as follows. Senior management commitment. Commitment at a senior level is essential in the development of a good food safety culture and is therefore necessary to ensure the effectiveness, application, and ongoing development of food safety systems. The food safety plan: hazard analysis critical control point (HACCP). Effective hazard and risk analysis enables companies to identify and manage hazards that may pose a risk to the safety, quality, and integrity of their products. The BRC Global Standard requires the development of an effective HACCP program based on the requirements of the internationally recognized Codex Alimentarius system. The food safety and quality management system. This ensures that companies implement well-documented, systematic management systems that form the basis for the product and process controls necessary to produce safe products, meet customer expectations, and ensure that staff are well trained. Site standards. This covers the suitability, cleanliness, and control of sites and includes factory conditions, cleaning, equipment, pest control, foreign body controls, food defense, and site security. Product control. Establishing product controls, such as allergen management, the prevention of food fraud, and product testing, is important in the reliable delivery of safe, authentic products. Process control. This ensures that the documented HACCP plan is put into operation every day, together with effective procedures to manufacture products consistently to the correct level of quality. Personnel. Training, protective clothing, and proper hygiene practices are covered in this section. High-risk, high-care, and ambient high-care production zones. A specific section of the standard deals with products that are susceptible to potential pathogen contamination and therefore require additional controls to ensure product safety. 1 CHAPTER 8  ▪  FOOD SAFETY HANDBOOK The requirements for traded products. This is a voluntary section of the standard for sites that purchase and sell food products that would normally fall within the scope of the standard and are stored at site facilities, but that are not manufactured, additionally processed, or packed at the sites being audited. For more information, see the BRC Global Standards website, at https://www.brcgs.com/, and website, at https://mygfsi.com/. the GFSI ­ International Featured Standards The International Featured Standards were established in 2003 and were eventually expanded. The stan- dards are governed by IFS Management, a legally independent company headquartered in Berlin. The nine standards have been developed for and by stakeholders involved in all parts of the supply chain. They are all process standards that help users implement legal provisions on food and product safety by providing uniform guidelines on food and product safety and quality issues. Table 1.2 illustrates relevant standards. The food standard is a GFSI-recognized standard for auditing food manufacturers. The focus is on food safety and the quality of processes and products. This covers food processing companies and companies that pack loose food products. primary The standard applies if products are processed or if there is a hazard of product contamination during ­ packing. The standard is important for all food manufacturers, especially those producing private labels, because it includes many requirements related to compliance with customer specifications. The standard supports production and marketing departments in their efforts at brand safety and quality. The standard has been developed with the full and active involvement of certification bodies, retailers, the food industry, and food service companies. Table 1.2  International Featured Standards and the GFSI Standard GFSI benchmarked? GFSI scope Food, version 6.1 Yes BII, C0, CI, CII, CIII, CIV, K Logistics, version 2.2 Yes G PACsecure, version 1.1 Yes I Broker, version 3 Yes FII HPC No Wholesale, cash and carry No Global markets food No Global markets HPC No Global markets logistics No Source: IFS Database (International Featured Standards), IFS Management GmbH, Berlin, https://www.ifs-certification.com. Note: The letters in the right column refer to GFSI scopes of recognition, as follows: BII = farming of grains and pulses; C0 = animal primary conversion; CI = processing of perishable animal products; CII = processing of perishable plant products; CIII = process- ing of perishable animal and plant products (mixed products); CIV = processing of ambient stable animal and plant p ­ roducts (mixed products); FII = food broker/agent; G = provision of storage and distribution services; I = production of food packaging; K = ­production of (bio)chemicals and biocultures used as food ingredients. HPC = household and personal care. PAC = packaging. Food Safety Standards and Schemes   ▪  9 CHAPTER The standard is used to audit food manufacturers on food safety and the quality of processes and products. The list of requirements is organized by the following topics: ▪▪ Senior management responsibility 1 ▪▪ The quality and food safety management system ▪▪ Resource management ▪▪ The planning and production process ▪▪ Measurements, analysis, and improvements ▪▪ Food defense For more information, see the International Featured Standards website, at https://www.ifs​ -certification.com/, and the GFSI website, at https://mygfsi.com/. Food Safety System Certification 22000 Food Safety System Certification (FSSC) 22000 is a certification program for FSMSs and feed safety manage- ment systems that are in compliance with the publicly available FSMSs standard International Organization for Standardization (ISO) 22000 (requirements for any organization in the food chain), sector-specific technical specifications (TSs) (BSI Group Publicly Available Specification, ISO/TS, Royal Netherlands Standardization Institute–Netherlands Technical Agreement) for food safety prerequisite programs (PRPs), and additional scheme requirements (figure 1.1, table 1.3). Besides the three components shown in figure 1.1, there’s a voluntary FSSC 22000 quality module based on all requirements of ISO 9001. FSSC 22000 published version ­ 5 of its scheme in May 2019. FSSC 22000 is used to audit and certify the FSMSs of food chain organizations in farming animals for milk, meat, eggs, and honey; farming fish and seafood; processing perishable animal products, such as meat, poul- try, eggs, dairy, and fish products; processing perishable plant products, such as fresh fruits and fresh juices, preserved fruits, fresh vegetables, grains, nuts, and pulses; processing perishable animal and plant products (mixed products); processing ambient stable products with a long shelf life at ambient temperature, such as Figure 1.1  The FSSC 22000 Scheme: Required Components ISO 22000 provides a common framework across the supply ISO 22000 chain for managing requirements and internal and external communication and for continually improving the system Sector-specific PRPs (ISO/TS and BSI Group Publicly PRPs Available Specification) FSSC 22000 adds specific requirements to ensure FSSC 22000 consistency and integrity and to provide scheme governance and management 1 CHAPTER 10  ▪  FOOD SAFETY HANDBOOK Table 1.3  FSSC 22000 Standards and the GFSI FSSC scope GFSI benchmarked? GFSI scope Food manufacturing (ISO 22000:2005, ISO/TS 22002–1:2009, Yes BII, C0, CI, CII, FSSC 22000 additional requirements: Part II 2.1.4) CIII, CIV, DI, K Food packaging manufacturing (ISO 22000:2005, ISO/TS 22002– Yes I 4:2013, FSSC 22000 additional requirements: Part II 2.1.4) Transport and storage (ISO 22000:2005, NEN NTA 8059:2016, Yes G FSSC 22000 additional requirements: Part II 2.1.4) Farming (ISO 22000:2005, ISO/TS 22002–3:2011, FSSC 22000 No ­additional requirements: Part II 2.1.4) Animal feed production (ISO 22000:2005, ISO/TS 22002–6:2016, No FSSC 22000 additional requirements: Part II 2.1.4) Catering (ISO 22000:2005, ISO/TS 22002–2:2013, FSSC 22000 No ­additional requirements: Part II 2.1.4) Retail and wholesale (ISO 22000:2005, BSI PAS 221:2013, FSSC 22000 No additional requirements: Part II 2.1.4) Biochemicals No Quality management system (ISO 9001) No Source: FSSC 22000 website, at https://www.fssc22000.com/ Note: The letters in the right column refer to GFSI scopes of recognition, as follows: BII = farming of grains and pulses; C0 = animal primary conversion; CI = processing of perishable animal products; CII = processing of perishable plant products; CIII = processing of perishable animal and plant products (mixed products); CIV = processing of ambient stable animal and plant p ­ roducts (mixed prod- ucts); DI = production of feed; G = provision of storage and distribution services; I = production of food packaging; K = production of (bio)chemicals and biocultures used as food ingredients. BSI PAS = BSI Group Publicly Available Specification. NEN NTA = Royal Netherlands Standardization Institute–Netherlands Technical Agreement. canned products, biscuits, snacks, oil, drinking water, beverages, pasta, flour, sugar, and salt; manufacturing (bio)chemical food ingredients, such as vitamin supplements, additives, and biocultures, but excluding pes- ticides, drugs, fertilizers, and cleaning agents; production of feed and pet food; production of food and feed packaging and packaging materials with direct or indirect contact with food; catering; retail and wholesale; and food transport and storage services. For more information, see the FSSC 22000 website, at https://www.fssc22000.com/, and the GFSI website, at https://mygfsi.com/. The PrimusGFS Standards PrimusGFS is a GFSI-recognized food safety audit scheme with certifications in 20 countries. It is endorsed by more than 7,000 organizations. PrimusGFS is mainly focused on food safety among agricultural products designated for human consumption in the fresh state or after minimum processing. PrimusGFS establishes a series of requirements for managing production, handling, processing, and storage operations to ensure consumer safety (table 1.4). PrimusGFS audits consist of several modules (table 1.5). The applicability of the modules depends on the type of operation being audited. PrimusGFS audits cover, for example, FSMSs, good agricultural practices (GAPs), GMPs, HACCP, and preventive control. Food Safety Standards and Schemes   ▪  11 CHAPTER Table 1.4  PrimusGFS Standards and the GFSI Standard GFSI benchmarked? GFSI scope PrimusGFS, version 3 Yes BI, BII, BIII, CII, CIII, CIV, G 1 Source: PrimusGFS website, at http://www.primusgfs.com/. Note: The letters in the right column refer to GFSI scopes of recognition, as follows: BI = farming of plants (other than grains and pulses); BII = farming of grains and pulses; BIII = primary conversion of plant products; CII = processing of perishable plant prod- ucts; CIII = processing of perishable animal and plant products (mixed products); CIV = processing of ambient stable animal and plant products (mixed products); G = provision of storage and distribution services. Table 1.5  PrimusGFS Audit Modules Module Operation Applicability 1 FSMS All operations 2 Farm Farm operations 3 Indoor aquaculture Indoor agricultural operations 4 Harvest crew Harvest crew operations 5 Facility All facility operations 6 HACCP All facility operations 7 Preventive control Optional, all facility operations Source: PrimusGFS website, at http://www.primusgfs.com/. For more information, see the PrimusGFS website, at http://www.primusgfs.com/, and the GFSI website, at https://mygfsi.com/. The Global Red Meat Standard The Global Red Meat Standard is a scheme specifically developed for the red meat industry. The standard sets out the requirements for all processes relating to the production of meat and meat products. It focuses on areas critical to achieving the greatest safety and the highest quality. The goal of the standard is to deliver transparency in animal welfare, quality, food safety, and hygiene in factories that slaughter, cut, debone, pro- cess, and handle meat and meat products derived from pork, beef, lamb or sheep, goats, and horses. The standard was developed by the Danish Agriculture and Food Council, in partnership with the council’s abattoir members and the Danish Meat Research Institute.3 It was launched in 2006. The Global Red Meat Standard, version 6, was published in 2018 and benchmarked by the GFSI (table 1.6). Table 1.6  The Global Red Meat Standard and the GFSI Standard GFSI benchmarked? GFSI scope Global Red Meat Standard, version 6 Yes C0, CI Source: Global Red Meat Standard website, at https://grms.org/. Note: The letters in the right column refer to GFSI scopes of recognition, as follows: C0 = animal primary conversion; CI = process- ing of perishable animal products. 1 CHAPTER 12  ▪  FOOD SAFETY HANDBOOK The Global Red Meat Standard covers the following processes and products: (1) processes: transport, lairage, slaughtering, evisceration, chilling, cutting, deboning, curing, marinating, mincing, mixing, fermentation, smoking, cooking, packing, chilling, freezing, and storage; (2) products: fresh meat, meat products, meat preparations, mixed products, and edible by-products. For more information, see the Global Red Meat Standard website, at https://grms.org/, and the GFSI website, at https://mygfsi.com/. CanadaGAP CanadaGAP is an onfarm food safety program for companies that produce and handle fruits and v ­ egetables. ­ perations. It is designed to help implement and maintain effective food safety procedures within fresh produce o The program has received full Canadian government recognition. The CanadaGAP global agricultural standards and the associated certification program were developed by the Canadian Horticultural Council, the national industry association for fruit and vegetable producers in Canada, as a means of standardizing and updating onfarm food safety programs.4 It covers eight crop group- ings, revolving around the safe production, storage, and packing of fresh produce. The council participates in the Canadian federal On-Farm Food Safety Recognition Program, which involves comprehensive reviews by provincial and federal governments to ensure the technical soundness of the CanadaGAP standards.5 The owner of the Scheme is CanAgPlus, a Canadian not-for-profit corporation. Two manuals have been developed by the horticultural industry and reviewed for technical soundness by Canadian government officials. The first is specific to greenhouse operations (CanadaGAP 2018a). The second is aimed at other fruit and vegetable operations (CanadaGAP 2018b). The manuals are designed for compa- nies implementing GAPs in their production, packing, and storage operations and for repackers and whole- salers implementing GMPs and HACCP programs. The program is also designed for fresh produce brokers implementing best practices in supplier management and product traceability. The following are among the topics covered in the manuals: commodity starter products; premises; commercial fertilizers, pulp sludge, and soil amendments; manure, compost, compost tea, and other products; mulch and row cover materials; agri- cultural chemicals; agricultural water; equipment; cleaning and maintenance materials; waste management; personnel hygiene facilities; employee training; visitor policy; pest program for buildings; water (for fluming and cleaning); ice; packaging materials; growing and harvesting; sorting, grading, packing, repacking, stor- ing, and brokerage; storage of product; transportation; identification and traceability; deviations and crisis management; and HACCP plan and food safety program maintenance and review. The manuals are based on a rigorous hazard analysis applying the seven principles of the internationally recognized HACCP approach. Table 1.7  The CanadaGAP Standards and the GFSI Standard GFSI benchmarked? GFSI scope CanadaGAP, version 7.1, options B, C, and D Yes BI, BIII Source: CanadaGAP website, at https://www.canadagap.ca/. Note: The letters in the right column refer to GFSI scopes of recognition, as follows: BI = farming of plants (other than grains and pulses); BIII = primary conversion of plant products. For more information, see the CanadaGAP website, at https://www.canadagap.ca/, and the GFSI website, at https://mygfsi.com/. Food Safety Standards and Schemes   ▪  13 CHAPTER GLOBALG.A.P. GLOBALG.A.P., formerly known as EurepGAP, was launched in 1997 as a retailer initiative rooted in the Euro-Retailer Produce Working Group. Its starting point was an effort to develop standards and procedures for the development of GAPs in conventional agriculture especially by highlighting the importance of inte- 1 grated crop management and a responsible approach to worker welfare. Over the next 10 years, the initiative spread throughout Europe and beyond. Driven by the impacts of globalization, a growing number of pro- ducers and retailers around the globe joined in, gaining the European organization global significance. To reflect both its global reach and its goal of becoming the leading international GAP standard, the name of the organization was changed from EurepGAP to GLOBALG.A.P. in 2007. The scheme is managed by FoodPLUS GmbH, Cologne, Germany. GLOBALG.A.P. is a private sector body that sets voluntary standards for agricultural product certification around the world. The GLOBALG.A.P. standard is designed to reassure consumers about how their food is produced on the farm. Focal points include food safety and traceability; biodiversity, minimizing the detri- mental environmental impacts of farming operations, and reducing the use of chemical inputs; and ensuring a responsible approach to worker health, safety, and welfare and animal welfare. The organization aims to establish one standard for GAPs, with varied product applications capable of interfacing seamlessly with the whole pattern of global agriculture. This includes integrated crop management, integrated pest control, the quality management system, and HACCP. GLOBALG.A.P. is a prefarmgate standard. The certificate covers the process of generating certified products from farm inputs, such as feed or seedlings, including all related farming activities until the product leaves the farm. The GLOBALG.A.P. Integrated Farm Assurance Standard covers GAPs in agriculture, aquaculture, livestock, and horticulture production. It also covers additional aspects of the food production and supply chain, such as the chain of custody and compound feed manufacturing. The standard is built on a system of modules that enable producers to obtain certification for several subscopes in one audit. The system consists of the following: ▪▪ General regulations: These map out the criteria for successful implementation of control points and compliance criteria and set guidelines for the verification and the regulation of the standard. ▪▪ Control points and compliance criteria: These clearly define the requirements for achieving the quality standard required by GLOBALG.A.P. The control points and compliance criteria are based on modules consisting of the following: ▪▪ The all farm base module is the foundation of all standards. It consists of all the requirements that all producers must fulfill to gain certification. ▪▪ The scope module defines clear criteria in the various food production sectors. ­ GLOBALG.A.P. covers three scopes: crops, livestock, and aquaculture. ▪▪ The subscope module includes control points and compliance criteria that cover all the requirements for a particular product or the various aspects of the food production and supply chain. These modules are illustrated in figure 1.2. 1 CHAPTER 14  ▪  FOOD SAFETY HANDBOOK Figure 1.2  The Required Components of the Integrated Farm Assurance Standard FV Fruit and vegetables FO Flowers and ornamentals CC Combinable crops CB Crop base TE Tea ALL FARM BASE PPM Plant propagation material HO Hop AB Aquaculture Finfish, crustaceans, and mollusks DY Dairy CS Cattle and sheep CYB Calves/young beef PG Pigs LB Livestock base PY Poultry TY Turkey The GLOBALG.A.P. has been GFSI benchmarked (table 1.8). Table 1.8  The GLOBALG.A.P. Integrated Farm Assurance Standard and the GFSI Standard GFSI benchmarked? GFSI scope Integrated farm assurance, version 5.2, aquaculture Yes AII Integrated farm assurance, version 5.2, fruits and vegetables Yes BI, BIII Harmonized Produce Safety Standard, version 1.1–2 Yes BI Source: GLOBALG.A.P. website, at https://www.globalgap.org/uk_en/. Note: The letters in the right column refer to GFSI scopes of recognition, as follows: AII = farming of fish and seafood; BI = farming of plants (other than grains and pulses); BIII = primary conversion of plant products. For more information, see the GLOBALG.A.P. website, at https://www.globalgap.org/uk_en/, and the GFSI website, at https://mygfsi.com/. The Seafood Processing Standard of the Global Aquaculture Alliance The Global Aquaculture Alliance is an international, not-for-profit trade association dedicated to advanc- ing environmentally and socially responsible aquaculture. The alliance was established in 1997 and had 59 ­members in the Americas, Asia, and Europe. It has since grown to 1,100 members in 70 countries, making it the highest profile industrial organization in the global aquaculture business. The scheme is managed by the Global Aquaculture Alliance in the United States. Food Safety Standards and Schemes   ▪  15 CHAPTER The alliance develops best aquaculture practice certification standards. The standards cover a full range of aquaculture facilities, from hatchery and feed mills to farm and processing plants, producing shrimp, salmon, tilapia, channel catfish, and the pangasius or basa fish. A specific standard is available for each facility type and category. Additional standards have recently been developed. 1 The guiding principles underlying the best aquaculture practices aim to assure the environmental, economic, and social sustainability of aquaculture operations for the benefit of local economies and communities by min- imizing the environmental effects, promoting the rational use of fresh water, avoiding disease outbreaks, and minimizing risks related to the introduction of exotic species. The standards cover requirements in regulatory management, the quality management system, personnel management, the environment and waste manage- ment, food safety management, verification, and traceability. The Global Aquaculture Alliance standard in seafood processing has been GFSI benchmarked (table 1.9). Table 1.9  The Global Aquaculture Alliance Seafood Processing Standard and the GFSI Standard GFSI benchmarked? GFSI scope Seafood processing standard, issue 5.0 Yes CI Source: GAA 2019. Note: The letters in the right column refer to GFSI scopes of recognition, as follows: CI = processing of perishable animal products. For more information, see the Global Aquaculture Alliance website, at https://www​ .aquaculturealliance.org/, and the GFSI website, at https://mygfsi.com/. The Safe Quality Food Institute Standard The Safe Quality Food Code is a process and product certification standard. It is supported by an HACCP- based food safety and quality management system that relies on the HACCP principles and guidelines of the U.S. National Advisory Committee on Microbiological Criteria for Foods and the Codex Alimentarius Commission (CAC). The scheme is managed by the Safe Quality Food Institute in Arlington, Virginia. The industry. code was developed and pilot programs were implemented in 1994 to ensure applicability to the food ­ The safe quality food 2000 code is relevant in manufacturing, processing, and distribution. The following Safe Quality Food Institute programs have been established: The Fundamentals Program offers solutions for small and medium food suppliers who do not have a robust food safety management program in place or who want to take an existing program to the next level. Built as a stepwise approach, the Fundamentals Program is designed to help suppliers integrate robust food safety stan- dards into their existing practices, while creating a pathway to achieve globally accepted GFSI certification. The Food Safety Program family of codes are globally accepted GFSI-benchmarked food safety standards. The food safety codes provide sites with an HACCP-based approach to ensure that products meet most regu- lations. Businesses looking to satisfy the GFSI certification requirements of their retailers and buyers can rely on the Food Safety Program. The Food Safety Program includes safe quality food codes for food safety in primary production; food manufacturing, storage, and distribution; the manufacture of food packaging; and food retail. The Quality Program is aimed at those sites desiring to do more than guarantee food safety. It is designed for monitoring and controlling threats to food quality. It is most suited for sites that have already implemented a 1 CHAPTER 16  ▪  FOOD SAFETY HANDBOOK successful, robust safe quality food safety plan. The Quality Program can also be implemented in tandem with the Food Safety Program. The Ethical Sourcing Program is an environmental, social, health, and safety management system for the food industry. Developed by professionals with extensive experience in environmental and social compliance, the program assists facilities in documenting and demonstrating commitment to ethical sourcing in daily operations. The Safe Quality Food Code has been GFSI benchmarked (table 1.10). Table 1.10  Safe Quality Food Code and the GFSI Standard GFSI benchmarked? GFSI scope Primary production, edition 8.1 Yes AI, BI Manufacturing, edition 8.1 Yes BIII, C0, CI, CII, CIII, CIV, DI, K Storage and distribution, edition 8.1 Yes G Manufacture of food packaging, edition 8.1 Yes I Food retail, edition 8.1 No Food service, edition 8.1 No Quality code, edition 8.1 No Ethical sourcing, edition 2.1 No Fundamental factors for social responsibility, edition 1 No Sources: SQFI 2017, 2019a, 2019b, 2019c, 2019d, 2019e, 2019f, 2019g, 2019h. Note: The letters in the right column refer to GFSI scopes of recognition, as follows: AI = farming of animals; BI = farming of plants (other than grains and pulses); BIII = primary conversion of plant products; C0 = animal primary conversion; CI = process- ing of perishable animal products; CII = processing of perishable plant products; CIII = processing of perishable animal and plant products (mixed products); CIV = processing of ambient stable animal and plant products (mixed products); DI = production of storage and distribution services; I = production of food packaging; K = production of (bio)chemicals and feed; G = provision of ­ biocultures used as food ingredients. For more information, see the Safe Quality Food Institute website, at https://www.sqfi.com/, and the GFSI website, at https://mygfsi.com/. The Japan Food Safety Management Association The Japan Food Safety Management Association, an incorporated foundation formed under Japanese law, was established in 2016. It runs the Japan Food Safety Certification Scheme, a certification pro- gram for FSMSs. The scheme is an internationally harmonized certification program in line with ISO– International Electrotechnical Commission 17011:2017, ISO–International Electrotechnical Commission 17021–1:2015, and ISO/TS 22003:2013. The related standards consist of GMPs, the HACCP system, and the FSMS. The scheme is a GFSI-recognized certification program (table 1.11). The Japan food safety standards cover the certification scopes of food processing and the production of (bio)chemicals. The Japan Food Safety Management Association is now working to expand the sectors to cover the entire food supply chain. Food Safety Standards and Schemes   ▪  17 CHAPTER Table 1.11  The Japan Food Safety Certification Scheme and the GFSI Standard GFSI benchmarked? GFSI scope Certification scheme standard, version 2.3 Yes CIV 1 Source: JFSM 2018. Note: The letters in the right column refer to GFSI scopes of recognition, as follows: CIV = processing of ambient stable animal and plant products (mixed products). In addition to the Food Safety Certification Scheme, the association has launched the Japan Food Safety–A/B Program. The related standards include stepwise processes for FBOs, including small and medium enterprises, to improve FSMSs effectively and efficiently. Making good use of the Japan Food Safety–A/B Program and its standards, FBOs can start with the implementation of a GMP, step up to an HACCP system, and reach an FSMS. For more information, see the Japan Food Safety Management Association website, at https:// www.jfsm.or.jp/eng/, and the GFSI website, at https://mygfsi.com/. ASIAGAP and Japan GAP ASIAGAP and Japan GAP represent a set of certification standards created by the Japan GAP Foundation. Japan GAP includes the control points and compliance criteria needed to create a standard GAP in Japan. It is an agricultural management method for monitoring both food and occupational safety and the environment through control points and compliance criteria. It is the standard GAP in Japan and has already gained the support of many stakeholders. It operates with strict regard for human rights. ASIAGAP is based on the Japan GAP standards, but encompasses additional requirements, such as HACCP- based risk management, the prevention of food fraud, and so on. ASIAGAP is appropriate as an international GAP standard. ASIAGAP is a GFSI-recognized certification program (table 1.12). Table 1.12  The ASIAGAP Standards and the GFSI ASIAGAP control points and compliance criteria for farms GFSI benchmarked? GFSI scope Subscope fruits and vegetables, version 2 Yes BI, BIII Subscope tea, version 2 Yes BI, BIII Subscope grains, version 2 Yes BII, BIII Source: Japan GAP Foundation website, at https://jgap.asia/en/home-2/. Note: The letters in the right column refer to GFSI scopes of recognition, as follows: BI = farming of plants (other than grains and pulses); BII = farming of grains and pulses; BIII = primary conversion of plant products. Agricultural products In ASIAGAP and Japan GAP, over 120 checkpoints are used to evaluate control criteria, from seeding to harvesting. Cultivation records are kept to document when, where, and how products are grown. Key e ­ ­ lements include the following: 1 CHAPTER 18  ▪  FOOD SAFETY HANDBOOK ▪▪ Soil: Checking the safety of soil, preventing soil runoff, and making soil sustainable for land use. ▪▪ Water: Investigating water sources and reservoirs for any harmful industrial waste. The quality and hygiene of washing water reused for agricultural production are also checked. ▪▪ Fertilizer: Affirming that fertilizer will not harm agricultural products by understanding raw materials, production processes, and inspection results. ▪▪ Pesticide: Using integrated pest management to consider all available control technologies, including pesticides and herbicides to control pests and weeds. Ensuring the mandatory proper use of pesticides and inspecting for pesticide residues. ▪▪ Sanitation: Setting rules governing health conditions and clothing among workers and ensuring agricultural products are not damaged at facilities or by machinery or equipment. ▪▪ Radioactive substances: Identifying and controlling the presence of radioactive substances in the soil, water, fertilizer, compost, and so on used for agricultural cultivation. Livestock and livestock products There are 31 items and 113 control criteria in farm management. Key elements include the following: ▪▪ Feed safety: Investigating livestock feed for harmful components (mold poison, pathogenic microorganisms, and so on). The safety of self-supplied feed is ensured by the inclusion of additional criteria regulating pesticides and fertilizers. ▪▪ Medicine: Taking measures to prevent contamination from veterinary medicines (antibacterial substances and so on) or injection needles. Antimicrobial substances should be treated carefully. ▪▪ Livestock health: Working with veterinarians to monitor livestock health and prevent epidemics of infectious disease. This includes complying with animal health control criteria based on the Livestock Infectious Disease Prevention Law. ▪▪ Excrement: Ensuring farmers meet standards for handling excrement in consideration of the surrounding environment and local residents. Excrement should be used as compost within the community. ▪▪ Animal welfare: Improving livestock management using checklists based on the international covenants of the World Organisation for Animal Health regarding animal welfare. ▪▪ Radioactive substances: Confirming the safety of livestock and livestock products against radioactive substances before shipping. For more information, see the Japan GAP Foundation website, at https://jgap.asia/en/home-2/, and the GFSI website, at https://mygfsi.com/. Other GFSI-benchmarked standards and certification programs In addition to the benchmarking and recognition of private certification programs, GFSI has introduced a new category, technical equivalence, which is dedicated to government-owned schemes. To take into account the different structures of these schemes, the new category allows for the acknowledgment of a scheme’s Food Safety Standards and Schemes   ▪  19 CHAPTER equivalence to the relevant technical requirements of GFSI benchmarking. The category is distinguished from GFSI recognition of private certification programs, which also assesses a scheme’s governance and operational management components. The following standards or certification programs have been acknowledged for technical equivalence with the 1 GFSI technical requirements. China HACCP The China HACCP is the national certification scheme implemented by the Certification and Accreditation Administration of China. Certification with the China HACCP benefits foreign food producers by bringing them into compliance with Chinese food import regulations and national standards. The Certification and Accreditation Administration introduced the HACCP system through Announcement 3 in 2002. Since then, the HACCP certification scheme has been updated several times. The latest version of the implementation rules is CNCA-N-008: 2011, “Implementation Rules for Hazard Analysis and Critical Control Point (HACCP) System Certification,” and the reference standards are GB / T 27341, “Hazard Analysis and Critical Control Point System: General Requirements for Food Processing Plant” and GB 14881, “General Hygiene Regulation for Food Enterprises Standard.” For more information, see the website of the Certification and Accreditation Administration of China, at http://www.cnca.gov.cn/ (in Chinese), and the GFSI website, at https://mygfsi.com/. The U.S. Department of Agriculture’s Agricultural Marketing Service GAP+ The Harmonized GAP+ Certification Program of the U.S. Department of Agriculture (USDA) Agricultural Marketing Service has achieved mutual technical recognition against version 7.1 of the GFSI benchmarking requirements (GFSI 2017). GAPs and good handling practices are voluntary audits implemented to verify that fruits and vegetables are pro- duced, packed, handled, and stored as safely as possible to minimize the risk of microbial food safety hazards. The audits verify adherence to the recommendations in the USDA “Guide to Minimize Microbial Food Safety Hazards of Fresh-Cut Fruits and Vegetables” and industry recognized food safety practices (USDA 2008). For more information, see the USDA Agricultural Marketing Service website, at https://www​ .ams.usda.gov/, and the GFSI website, at https://mygfsi.com/. Canadian Grain Commission Standards The Canadian Grain Commission has achieved technical equivalence for the Canadian Grain Commission HACCP and the Canadian Identity Preserved Recognition System plus HACCP certification programs against version 7.1 of the GFSI benchmarking requirements. For more information, see the Canadian Grain Commission website, at https://www​ .grainscanada.gc.ca/, and the GFSI website, at https://mygfsi.com/. 1 CHAPTER 20  ▪  FOOD SAFETY HANDBOOK The Global Markets Program The GFSI Global Markets Program represents a useful resource for small or less highly developed businesses that may frequently face difficulties in accessing market opportunities because they lack the expertise or the wherewithal to meet the food safety requirements of the formal supply chain. The program represents a comprehensive step-by-step tool that guides small or less well developed businesses through a continuous improvement process in their FSMSs. This program is voluntary and helps businesses and other interested parties follow a four-phase approach with the ultimate goal of gaining certification with one of the GFSI- recognized schemes.6 Notes 1. No opinion is offered here on which certification program or standard a particular FBO should select. 2. See CGF (Consumer Goods Forum), Levallois-Perret, France, https://www.theconsumergoodsforum.com​ /who-we-are/overview/. 3. The website of the Danish Agriculture and Food Council is at https://agricultureandfood.dk/. 4. The Canadian Horticultural Council website is at https://www.hortcouncil.ca/en/. 5. See Food Safety Recognition Program, Canadian Food Inspection Agency, Ottawa, https://www.inspection.gc.ca​ /food-safety-for-industry/archived-food-guidance/safe-food-production-systems/food-safety-enhancement-program​ /recognition-program/eng/1299860970026/1299861042890. 6. See “Global Markets: A Pathway to Certification,” Global Food Safety Initiative, Consumer Goods Forum, Levallois- Perret, France, https://mygfsi.com/how-to-implement/global-markets/. References BRCGS (BRC Global Standards). 2015. Global Standard: Packaging and Packaging Materials. BRC Global Standards, issue 5 (July). London: BRC Global Standards. ———. 2016a. Global Standard: Consumer Products, General Merchandise. BRC Global Standards, issue 4 (November). London: BRC Global Standards. ———. 2016b. Global Standard: Consumer Products, Personal Care and Household. BRC Global Standards, issue 4 (November). London: BRC Global Standards. ———. 2016c. Global Standard: Retail. BRC Global Standards, issue 1 (September). London: BRC Global Standards. ———. 2016d. Global Standard: Storage and Distribution. BRC Global Standards, issue 3 (August). London: BRC Global Standards. ———. 2017. Global Standard: Agents and Brokers. BRC Global Standards, issue 2 (August). London: BRC Global Standards. ———. 2018. Global Standard: Food Safety. BRC Global Standards, issue 8 (August). London: BRC Global Standards. ———. 2019. Global Standard: Ethical Trade and Responsible Sourcing. BRC Global Standards, issue 1 (August). London: BRC Global Standards. CanadaGAP. 2018a. CanadaGAP Food Safety Manual for Greenhouse Product. Version 7.1. Ottawa: CanadaGAP Program. ———. 2018b. CanadaGAP Food Safety Manual for Fresh Fruits and Vegetables . Version 7.1. Ottawa: CanadaGAP Program. GAA (Global Aquaculture Alliance). 2019. “Seafood Processing Standard (SPS).” Issue 5.0 (February 1), GAA, Portsmouth, NH. GFSI (Global Food Safety Initiative). 2017. “Version 7.1 of GFSI’s Benchmarking Requirements Furthering Harmonisation.” April 26, GFSI, Consumer Goods Forum, Levallois-Perret, France. https://mygfsi.com/press_releases​ /version-7-1-of-gfsis-benchmarking-requirements-furthering-harmonisation/. ———. 2018. “GFSI Benchmarking Requirements: Part I, the Benchmarking Process.” GFSI Guidance Document Version 7.2, GFSI, Consumer Goods Forum, Levallois-Perret, France. Food Safety Standards and Schemes   ▪  21 CHAPTER JFSM (Japan Food Safety Management Association). 2018. “JFS-C Certification Scheme Document.” Version 2.3 (April), JFSM, Tokyo. SQFI (Safe Quality Food Institute). 2017. SQFI Ethical Sourcing. Edition 2.1 (April). Arlington, VA: SQFI. ———. 2019a. “Fundamental Factors for Social Responsibility.” Edition 1, SQFI, Arlington, VA. 1 ———. 2019b. “SQF Food Safety Code for Manufacture of Food Packaging.” Edition 8.1, SQFI, Arlington, VA. ———. 2019c. “SQF Food Safety Code for Manufacturing.” Edition 8.1, SQFI, Arlington, VA. ———. 2019d. “SQF Food Safety Code for Primary Production.” Edition 8.1, SQFI, Arlington, VA. ———. 2019e. “SQF Food Safety Code for Storage and Distribution.” Edition 8.1, SQFI, Arlington, VA. ———. 2019f. “SQF Quality Code.” Edition 8.1, SQFI, Arlington, VA. ———. 2019g. “SQF Food Safety Code for Food Retail.” Edition 8.1, SQFI, Arlington, VA. ———. 2019h. “SQF Food Safety Code for Foodservice.” Edition 8.1, SQFI, Arlington, VA. USDA (United States Department of Agriculture). 2008. “Guide to Minimize Microbial Food Safety Hazards of Fresh-Cut Fruits and Vegetables.” February, Center for Food Safety and Applied Nutrition, USDA, College Park, MD. CHAPTER 2 Principal Food Safety Regulations 24  ▪  FOOD SAFETY HANDBOOK Introduction The issue of food safety has been addressed by international instruments. One of the most important is the World Trade Organization Agreement on the Application of Sanitary and Phytosanitary Measures. Members of the World Trade Organization are encouraged to base their sanitary and phytosanitary measures on inter- national standards, guidelines, and recommendations. The rules of the World Trade Organization are also applicable to nonmember countries that trade with members. The food safety standard set forth in the agreement is the Codex Alimentarius, a collection of internationally 2 adopted food standards presented in a uniform manner. The purpose of the codex is to protect the health of CHAPTER consumers, ensure fair practices in the food trade, and promote the harmonization of standards. The Codex Alimentarius Commission (CAC) implements the Joint Food and Agriculture Organization of the United Nations–World Health Organization Food Standards Programme. This chapter provides an overview of food safety legislation for food business operators (FBOs). Together with various CAC provisions, it addresses relevant regulations of the European Union (EU) and the United States. This has been done because of the importance of these two markets for FBOs throughout the world and the significance of the EU and the United States in developing a regulatory regime for food products that ensures a high level of safety and consumer confidence. The chapter also includes an overview of food safety in relevant regional trade organizations, joint approaches toward food safety legislation, and the production and marketing of food products. The main food safety regulations Codex Alimentarius The Codex Alimentarius is a collection of internationally recognized standards, codes of practice, guidelines, and other recommendations relating to foods, food production, and food safety.1 Its texts are developed and maintained by the CAC, a body that was established in November 1961 by the Food and Agriculture Organization of the United Nations. The World Health Organization joined in June 1962. Along with stan- dards for various types of food products, the codex contains general standards on animal feed, antimicrobial resistance, contaminants, pesticide residues, nutrition, labeling, and biotechnology. The codex standards and related texts are voluntary. They need to be translated into national legislation or regulations to be enforce- able. The codex is set forth in several classes of documents, as follows: ▪▪ Product-related standards comprising clear definitions of the various food safety issues associated with products ▪▪ Guidelines that supply general guidance in virtually every aspect of food safety management ▪▪ Codes of practice that provide general principles of food hygiene practices for a wide range of products and guidelines for the prevention of specific food safety hazards The Codex Alimentarius is associated with online databases on pesticide residues, veterinary drug residues, and general standards on food additives.2 European Union The EU joined the Codex Alimentarius in 2003 and accepted the obligations established under the codex statutes. The main EU food safety directives and regulations refer to the CAC as the basis for the related requirements. Principal Food Safety Regulations   ▪  25 Among the main EU food regulations is Regulation (EC) No. 178/2002, the General Food Law, which establishes the general principles and requirements of food law and the general concepts of food ­ legislation within the EU and ensures a consistent approach to the development of national food law in EU countries (­ figure 2.1).3 It sets out the general principles of EU food law for member states to follow. The main objective is to ensure the free circulation of safe food and feed in the EU for the health and well-being of citizens. In addition, a package of hygiene regulations was adopted to deliver consistency in the food chain. These CHAPTER include the following: ▪▪ Regulation (EC) No. 852/2004 on the hygiene of foodstuffs (general hygiene requirements for food production) ▪▪ Regulation (EC) No. 853/2004, which lays down specific hygiene rules for food of animal origin and basic hygiene principles for businesses at all stages of the food chain of animal products 2 Figure 2.1  The General Food Law of the European Union Food safety general principles, rules, definitions Harmonization of EU legislation Control system Control system Food hygiene prior to December 14, 2019 as of December 14, 2019 EU Regulation (EC) Regulation (EC) Regulation (EC) Regulation (EC) Regulation (EC) regulation No. 852/2004 No. 853/2004 No. 882/2004 No. 854/2004 No. 625/2017 General rules Specific rules on Basis for Specific rules for O cial controls and about food the hygiene of national the o cial other o cial activities hygiene, FBO food of animal monitoring and controls on performed to ensure the Aims responsibility origin control products of application of food and animal origin feed law, rules on animal health and welfare, plant health, and plant protection products All stages of Applies to raw All stages of Only applies in Applies to the entire production, and processed production, respect of agrifood chain, with processing, foods of animal processing, and activities and specific details for Scope marketing, and origin. Does not sale persons to products of animal origin. export apply to retailers. which the Replacing Regulations Regulation (EC) (EC) No. 882/2004 and No. 853/2004 854/2004 applies Responsibility Specific Mandatory Cooperation Mandatory o cial of FBOs; requirements for o cial control; with regulatory control; regularity and transparency of companies to regularity and authorities; proportionality of the food chain; market products proportionality risk analysis; inspections; inspections General flexibility; of animal of inspections; specific periods as precautions, not principles introduction origin; special inspections as of control punishments; cooperation HACCP guarantees for precautions, not depending on with regulatory certain types of punishments the type of authorities; risk analysis meat products product Source: Information in EUR-Lex (database), Publications Office of the European Union, Luxembourg, https://eur-lex.europa.eu/. 26  ▪  FOOD SAFETY HANDBOOK ▪▪ Regulation (EC) No. 625/2017, which sets out specific rules for the organization of official controls on products of animal origin intended for human consumption and on the verification of compliance with feed and food law, animal health, and animal welfare rules, thereby establishing control principles for EU members and third countries On April 7, 2017, Regulation (EC) No. 625/2017—the Official Controls Regulation—was accepted by the European Parliament and came into force as of April 29, 2017. There are several reasons why Regulation 625/2017 is an important milestone for food safety in the EU and represents the EU response to the U.S. Food 2 Safety Modernization Act (FSMA) of January 4, 2011. First, it simplifies and reduces legal fragmentation. It repeals Regulation No. 854/2004 on official controls on products of animal origin intended for human CHAPTER consumption and Regulation No. 882/2004 on official controls on the verification of compliance with feed and food law, animal health, and animal welfare rules. It also repeals eight more regulations and commission directives and decisions and amends several others. Each segment of the supply chain, such as animal welfare, pesticide residues, controls on products of animal origin, and so on, was previously regulated separately. Now, they are under one legal roof. Second, the new regulation strengthens the basic principles of previous laws. Although it does not change important principles, such as the transparency of controls and cooperation between member states, it brings more clarity to existing provisions by using more precise language. Third, it improves the harmonization of procedures and standards. One example is the creation of a single information management system for official controls, which integrates existing systems, such as the Rapid Alert System for Food and Feed, and facilitates the exchange of information among member states. Fourth, it creates the legal basis for more-sweeping changes in the future. A recurring sentence in the regula- tion is “the Commission shall adopt delegated acts in accordance with Article 144 to amend this Regulation.” The reference is to the article that gives the European Commission (EC) the power to adopt delegated acts. It is an important advance. Several supportive regulations deal with specific food safety topics, as follows: ▪▪ Regulation (EC) No. 2073/2005 on microbiological criteria for foodstuffs ▪▪ Regulation (EC) No. 1881/2006 on maximum permitted levels for certain contaminants in foodstuffs ▪▪ Regulation (EC) No. 2074/2005 laying down implementing measures for certain products under Regulations ▪▪ Regulation (EC) No. 1760/2000 establishing a system for the identification and registration of bovine animals and regarding the labeling of beef and beef products ▪▪ Regulation (EU) No. 1169/2011 on the provision of food information to consumers United States Because the United States has been a member of CAC since 1963, legislators and responsible agencies there tend to harmonize U.S. food safety laws and regulations with codex requirements. The United States Food Regulatory System consists of numerous statutes, rules, and regulations. This overview focuses on the federal regulation of food safety. However, state regulatory agencies also play an important role, especially in enforce- ment. In particular, state regulatory agencies are primarily responsible for food sanitation and safe food han- dling by food retailers, food service providers, and food vending operations. Principal Food Safety Regulations   ▪  27 The main U.S. food safety statutes are listed below. The FSMA empowers the U.S. Food and Drug Administration (FDA) to implement a science-based system to address food safety hazards and shifts the focus to preventing food contamination rather than only react- ing to food contamination.4 The act covers FDA-regulated foods, including all domestic and imported food products, except meat, poultry, and egg products, which are regulated by the U.S. Department of Agriculture (USDA). CHAPTER The Federal Food, Drug, and Cosmetic Act of 1938, with amendments, is a set of laws giving authority to the FDA to oversee the safety and efficacy of FDA-regulated food, drugs, and cosmetics. The Federal Meat Inspection Act of 1906, with amendments, was passed to prevent adulterated or misbranded meat and meat products from being sold as food and to ensure that meat and meat products are slaughtered and processed under sanitary conditions.5 This bedrock legislation also regulates inspections of imported meat products to ensure that they meet U.S. food safety standards. 2 The Poultry Products Inspection Act of 1957, as amended, regulates the processing and distribution of poultry products and requires certain sanitary standards and practices, as well as labeling and container standards, to prevent the sale of adulterated or misbranded poultry products. The USDA is responsible for enforcement. It provides inspections on all poultry products sold in interstate commerce and reinspects imported products. The FDA shares responsibility for egg product safety with the USDA. According to the Egg Products Inspection Act of 1970, as amended, the USDA is responsible for the safety of liquid, frozen, and dried egg products, domestic and imported, and for the safe use or disposition of damaged or dirty eggs. The Federal Insecticide, Fungicide, and Rodenticide Act of 1947, as amended, provides for federal regulation of pesticide distribution, sale, and use.6 All pesticides distributed or sold in the United States must be registered (licensed) by the U.S. Environmental Protection Agency. The Public Health Security and Bioterrorism Preparedness and Response Act of 2002 (Bioterrorism Act) requires the registration of food facilities, the establishment and maintenance of records, and prior notice of the importation of food. Every even year between October and December, each registered facility must rereg- ister with the FDA. The Bioterrorism Act also grants FDA additional enforcement authority. To enforce the statutes related to food safety, regulatory authorities, including the FDA and the USDA, enact rules and regu- lations that are referred to as administrative law. An example is the Poultry Products Inspection Regulations mentioned above. The Code of Federal Regulations (CFR) is the codification of the general and permanent rules and regulations published in the Federal Register by the executive departments and agencies of the U.S. government.7 Additionally, regulatory authorities publish guidance documents and recommendations for both the food industry and consumers. They do not create or confer any rights for or on any person and do not operate to bind the FDA or the public, but they reflect the vision of the FDA on certain issues. For instance, the FDA publishes the Food Code, a model set of guidelines and procedures that assists food control jurisdictions by providing a technical and legal basis for regulating the retail and food service industries, including restaurants and grocery stores.8 Case law is another source of the U.S. food safety law system. Precedents are rules established in previous legal cases that are binding on or persuasive among justices in deciding subsequent cases involving similar issues or facts. The National Agricultural Law Center has compiled reported and unreported federal and state court decisions on food safety issued since January 1, 1995.9 28  ▪  FOOD SAFETY HANDBOOK Australia, China, and Japan Whereas the main focus of this chapter is food safety regulations affecting food exports to the EU and the United States, the legal regimes in other countries are also informative. A good source of information on exporting food to various countries is the USDA Global Agricultural Information Network.10 The network compiles useful details on relevant laws and regulations in, for example, Australia, China, and Japan (USDA 2018a, 2018b, 2019). 2 Requirements for FBOs CHAPTER General principles, including FBO responsibilities CODEX ALIMENTARIUS To protect consumers against unsafe food and ensure that all stages of the food life cycle are safe and do not pose a threat to consumer health, the CAC developed the General Principles of Food Hygiene (CAC 2003). The principles follow the food chain from primary production to final consumption, highlighting the key hygiene controls at each stage and offering recommendations on establishments, personal hygiene, transportation, and the application of an approach based on the hazard analysis critical control point (HACCP) system. EUROPEAN UNION General principles of EU food legislation The basis of EU food legislation is an integrated farm-to-fork approach, combined with risk analysis in rela- tion to food, precautionary principles, the protection of consumer interests, principles of transparency, and the primary legal responsibility of the FBO to ensure food safety.11 The farm-to-fork approach is the general principle driving European food safety legislation. It aims to cover all potential hazards along the entire food chain, including primary production, processing, transportation and distribution, retail, catering, food service, and home use of food.12 The equivalency principle: food and feed imported into EU markets must possess food safety characteristics equivalent to food produced in EU member states. In cases in which there may be an agreement between a non-EU country and an EU member state, the food must comply with the provisions in the agreement. Risk analysis assumes that all measures relating to food safety will be underpinned by strong scientific evidence. The precautionary principle is relevant in those circumstances where health risks are at an unacceptable level, but the supporting data and information are too sparse for comprehensive risk assessment. In such situations, the measures necessary to ensure high standards of health protection, as determined by the EU community, may be adopted pending further scientific research allowing a more comprehensive risk assessment. According to the early warning principle, FBOs must immediately withdraw unsafe food from the market and inform the authorities and consumers about the problem. The implementation of a protection of consumer interests principle requires the maintenance of a status quo whereby consumers are able to make informed choices about the foods they consume. At all stages of the food production, processing, and distribution involving their businesses, EU FBOs bear the prime responsibility for ensuring that the food under their control satisfies the food law requirements that are relevant to their activities. Principal Food Safety Regulations   ▪  29 General rules for FBOs on hygienic foodstuffs Principles amplifying the general rules for FBOs on hygienic foodstuffs have been developed in the EU. The main principles are as follows: ▪▪ For food that cannot be stored safely at ambient temperatures, particularly frozen food, a cold chain must be maintained. ▪▪ The general implementation of procedures based on HACCP principles, together with the application of good hygienic practice, should reinforce FBO responsibility. CHAPTER ▪▪ Guides to best practice are a valuable instrument in aiding FBOs at all levels of the food chain to comply with food hygiene rules and in applying HACCP principles. ▪▪ Microbiological criteria and temperature-control requirements based on scientific risk assessments must be established. ▪▪ Imported foods must meet at least the same hygienic standards as food produced in the EU. 2 UNITED STATES The U.S. food safety system is based on strong, flexible, and science-based state and federal laws and the legal responsibility of the food industry to produce safe foods.13 The system is guided by the following principles: ▪▪ Only safe and wholesome foods may be marketed. ▪▪ Regulatory decision making in food safety is science based. ▪▪ The government has enforcement responsibility. ▪▪ Manufacturers, distributors, importers, and others are expected to comply and are liable if they do not. ▪▪ The regulatory process is transparent and accessible to the public. Science and risk analysis are fundamental to U.S. food safety policy making. Regulatory decisions regarding food safety standards and requirements rely on risk analysis performed by competent authorities who are qualified to make scientifically sound decisions. U.S. food safety statutes, regulations, and policies reflect the precautionary approaches that are embedded within them. One example is the premarket approval requirements established for food additives, animal drugs, and pesticides. These products are not allowed on the market unless and until they have been shown by producers to be safe. HACCP and the traceability requirement HACCP All globally recognized food safety management systems (FSMSs) are built on the HACCP risk-based approach, which includes potential hazards analysis and prevention during the production process (see chapter 3). HACCP can be applied throughout the food chain, from primary production to final consump- tion. Beyond enhancing food safety, HACCP implementation provides other significant benefits. Practice has shown that FSMSs based on HACCP open up new international markets for high–value added food products. Such FSMSs also increase the efficiency of domestic markets. Most private standards, includ- ing the International Featured Standards, the BRC Global Standards, and International Organization for Standardization (ISO) 22000 developed and recognized by big retailers, are based on HACCP. Thus, compliance with HACCP principles has become obligatory among FBOs who work or plan to work with large regional or global retailers. 30  ▪  FOOD SAFETY HANDBOOK Codex Alimentarius The recommendation to implement an HACCP-based approach wherever possible in enhancing food safety is fixed in the General Principles of Food Hygiene (CAC 2003). CAC defines HACCP as “a system that identifies, evaluates and controls hazards that are significant for food safety” (WHO and FAO 2009, 6). It also affirms that “food business operators should control food hazards through the use of systems such as HACCP” (WHO and FAO 2009, 12). The seven HACCP principles, along with additional guidance, are as follows (CAC 2003; FAO and 2 WHO 2006): CHAPTER ▪▪ Conduct a hazard analysis: identify all hazards and the possible degree of their severity; consider the control measures that may be applied to confront each hazard. ▪▪ Determine the critical control points (CCPs): these are the steps for the application of controls; they are essential in preventing or eliminating a food safety hazard or reducing the hazard to an acceptable minimum. ▪▪ Establish critical limits: these are the boundaries of safety for each CCP; they may be set according to specific preventive measures such as temperature, time, physical dimensions, aw (water activity), pH (acidic or basic water-based solution), and the available chlorine. ▪▪ Establish a system to monitor CCP control: monitoring is the measurement or observation of a CCP relative to the CCP’s critical limit; this helps detect loss of control at the CCP. ▪▪ Establish the corrective action to be taken if monitoring indicates that a particular CCP is not under control: such corrective action must ensure that the CCP is brought under control; this includes the proper disposition of the affected product. ▪▪ Establish validation and verification procedures to confirm that the HACCP system is capable of addressing the issue at hand and working effectively: such procedures may include random sampling and analysis, often performed on behalf of a business by external experts. ▪▪ Establish documentation on all procedures and recordkeeping relevant to these principles and their application: this includes hazard analysis, CCP determination or a CCP decision tree, the determination of the critical limits of a CCP, CCP monitoring activities, the correction and corrective action to be taken if a CCP deviates, and validation and verification reports. There are limitations to applying HACCP principles fully in primary production. If HACCP principles cannot be implemented at the farm level, for instance, specific hygienic practices, good agricultural practices, and good veterinary practices should be followed. Industry-specific codes of practice in line with the peculiarities of the implementation of an HACCP-based approach have been developed and are recommended by the CAC. Examples are the Code of Practice for Fish and Fishery Products (CAC/RCP 52-2003), the Code of Hygienic Practice for Milk and Milk Products (CAC/ RCP 57-2004), and the Code of Hygienic Practice for Meat (CAC/RCP 58-2005).14 Useful to know: Small or less well developed businesses often face difficulties in developing and implementing an effective HACCP plan because they lack expertise. In such situations, the CAC recommends relying on the guidance of trade and industry associations, independent experts, and regulatory authorities (FAO and WHO 2006). In any case, attention always needs to be paid to the characteristics of the foods and the processes involved. Principal Food Safety Regulations   ▪  31 European Union EU Regulation No. 852/2004 requires FBOs to establish and maintain a permanent procedure or procedures based on HACCP principles.15 FBOs must be able to provide the competent authority with evidence of their compliance with the official norms regarding obligatory HACCP implementation. EU Regulation No. 852/2004 provides the possibility of flexible or simplified HACCP implementation, par- ticularly in the case of small food businesses and, especially, in the management of all required records. This approach enables the application of HACCP in all circumstances regardless of the size and type of activities CHAPTER undertaken by a specific food business. Useful to know: In another effort to clarify all aspects of the implementation of HACCP principles, the European Commission (2018) has been developing a guidance document on the implementation of certain provisions of Regulation No. 852/2004. 2 United States In the United States, HACCP adherence is mandatory for all producers of foodstuffs because of the FSMA. There are specific rules governing HACCP implementation in three classes of manufacturing that are exempt from the more general rules laid down in the FSMA. The classes of manufacturing with separate sets of rules are meat and poultry, seafood, and juice products.16 HACCP implementation in meat and poultry is regulated by the USDA, while, in seafood and juice, it is cov- ered by the FDA. These agencies publish guidance documents explaining the HACCP system in specific areas, along with support documents for HACCP implementation and information on HACCP training activities. Under the FSMA, certain qualifying facilities are exempt from preventive controls and HACCP provi- sions.17 Nonetheless, they must still be able to demonstrate that they (1) have identified potential hazards and are implementing preventive controls to address these or (2) are in compliance with local and state food safety laws. TRACEABILITY Food traceability is a recordkeeping tool calibrated to enable specific food items to be followed through all processes until they reach consumers. Traceability has become a legal requirement in most parts of the world. Alone, traceability does not enhance food safety, but it contributes considerably to FSMS efficiency if it is combined with food safety measures, such as those implicit in the HACCP-based approach. Codex Alimentarius According to the Principles for Traceability/Product Tracing as a Tool within a Food Inspection and Certification System (CAC/GL 60-2006), the traceability or product tracking tool should be able to identify, at any specified stage of the food chain (from production to distribution), the provenance of the food (one step back) and its destination (one step forward), as appropriate to the objectives of the food inspection and certification system.18 The CAC considers traceability a requirement in the case of some food businesses, for example: (1) the Code of Practice for the Prevention and Reduction of Aflatoxin Contamination in Tree Nuts (CAC/RCP 59-2005), (2) the Code of Practice for the Prevention and Reduction of Aflatoxin Contamination in Peanuts (CAC/RCP 55-2004), and (3) Principles and Guidelines for the Conduct of Microbiological Risk Management (CAC/GL 63-2007). 32  ▪  FOOD SAFETY HANDBOOK European Union According to the EU General Food Law, Regulation (EC) No. 178/2002, traceability is the ability to track a food, feed, food-producing animal, or substance intended to be, or expected to be incorporated into a food or feed, through all stages of production, processing, and distribution. Thus, a traceability system should be constructed to ensure an ability to identify any person supplying FBOs or other businesses with a food or feed product. It follows that labeling and identifying products through relevant documentation is an integral component of a traceability system. 2 In addition to EU food law, specific traceability requirements have been established in EU legislation or regu- CHAPTER lations on certain categories of food, such as beef, fish, and genetically modified organisms, as in the following examples: ▪▪ Regulation (EC) No. 1760/2000, which establishes a system for the identification and registration of bovine animals and for labeling beef and beef products ▪▪ Regulation (EC) No. 1420/2013 and Regulation (EU) No. 1379/2013 on the organization of the markets in fishery and aquaculture products ▪▪ Regulation (EC) No. 1830/2003 on the traceability and labeling of genetically modified organisms and the traceability of food and feed products produced from genetically modified organisms Useful to know: The European Commission (2007) has published a factsheet that provides details on the scope and implementation of the traceability requirement. United States In the United States, many producers, manufacturers, and retailers must have product tracing systems in place as part of the Public Health Security and Bioterrorism Preparedness and Response Act of 2002. The act requires all producers and manufacturers to be able to trace one step forward and one step back in the supply chain. Retailers need to be able to trace one step back only. The FSMA directs the FDA to build a system that enhances the FDA’s ability to track and trace both domestic and imported foods that are adulterated. In particular, the FDA, along with the USDA and state agencies, is directed to establish pilot projects to explore and evaluate methods to identify recipients of food as a means of preventing or controlling outbreaks of foodborne illnesses. As an aid in tracing products, the FSMA also requires the FDA to establish recordkeeping requirements on high-risk foods delivered to FBOs. According to “Traceability for Livestock Moving Interstate,” a USDA rule published on January 9, 2013, livestock moved interstate, unless specifically exempted, must be officially identified and accompanied by an interstate certificate of veterinary inspection or other relevant documentation. Covered livestock include cattle and bison, horses and other equine species, poultry, sheep and goats, swine, and captive cervids. Additional guidance is available on animal disease traceability. Food labeling Food labeling is the primary means of communication linking the producer and the seller of food with the purchaser and consumer of the food. The most important rule of labeling is that the consumer should not be misled. Principal Food Safety Regulations   ▪  33 CODEX ALIMENTARIUS The CAC has developed various standards and guidelines on the labeling of prepackaged food, food additives, and food for special dietary uses as well as guidelines on related claims about benefits, nutrition labeling, and so on (FAO and WHO 2007). Codex Alimentarius standards and guidelines enable the wide use of food labeling that can be readily understood by government agents, regulatory authorities, food industry represen- tatives, retailers, and consumers. The core standard is the General Standard for the Labeling of Prepackaged Food, which applies to the CHAPTER labeling of all prepackaged foods sold or catered to consumers and covers certain required features of the label. Thus, it establishes the sort of information that must appear on the label of prepackaged food, such as the name of the food, a list of ingredients, the net contents, the drained weight, the name and address of the final producer or packager, the country of origin, lot identification, date marking, storage instructions, and instructions for use. There may be additional requirements for quantitative ingredient declarations and irradiated food. 2 The CAC has also issued more specific standards for the labeling of food additives sold as such, the labeling of prepackaged foods for special dietary uses and claims about the associated benefits, the labeling of foods for special medical purposes and claims about the associated benefits, the labeling of organically produced foods, and the labeling of genetically modified foods. EUROPEAN UNION Regulation (EU) No. 1169/2011 requires that the following appear on the label: the name under which the product is sold, a list of ingredients, the quantity of certain specified ingredients, allergens, nutritional values (including guideline daily amounts on a voluntary basis), the net quantity, the date by which the integrity of the product can no longer be assured, any claims about benefits, any special storage instruc- tions or conditions of use, the name or business name and address of the manufacturer, packager, or seller within the EU, and the place of origin of the foodstuff if the absence of the information might mislead the consumer to a material degree (FoodDrinkEurope and EuroCommerce 2013). The regulation also stipulates that a minimum font size of 1.2 millimeters must be used on the label information to ensure legibility. Besides these general labeling requirements, there are special requirements for some products. For instance, specific legislation has been passed on the labeling of beef products. Regulation (EC) No. 1760/2000 requires the beef label to contain the following: ▪▪ A reference number or reference code ensuring the link between the meat and the animal or animals ▪▪ The approval number of the slaughterhouse at which the animal or group of animals was slaughtered, and the member state or nonmember country in which the slaughterhouse is located ▪▪ The approval number of the cutting hall that performed the cutting operation on the carcass or group of carcasses and the member state or other country in which the hall is located Regulation (EC) No. 1830/2003 sets out specific labeling requirements for foods that are to be delivered as foods to final consumers or mass caterers and that contain or consist of genetically modified organisms or are produced from or contain ingredients produced from genetically modified organisms. 34  ▪  FOOD SAFETY HANDBOOK UNITED STATES Under the Federal Food, Drug, and Cosmetic Act, food labeling is required for most prepared foods. The act specifies that food labels must include six types of information: the name of the food, the name and place of business of the manufacturer, a statement of the ingredients, the net quantity of the contents, 19 the nutrient content, and benefit claims. Regulations require retailers to notify customers about the source of (1) muscle cuts and ground meats con- sisting of lamb, goat, or chickens; (2) wild and farm-raised fish and shellfish; (3) fresh and frozen fruits and 2 vegetables; (4) peanuts, pecans, and macadamia nuts; and (5) ginseng. CHAPTER The Food Allergen Labeling and Consumer Protection Act of 2004 requires that food labels indicate the pres- ence of any of eight major food allergens, such as milk, eggs, fish (for example, bass, flounder, or cod), crus- tacean shellfish (for instance, crab, lobster, or shrimp), tree nuts (for example, almonds, pecans, or walnuts), wheat, peanuts, and soybeans. To assist the food industry, the FDA (2013, 2019) has developed guidance on the labeling of general food products and foods produced using genetically modified plants. The guidance documents also contain non- binding recommendations on labeling. Useful to know: nutrition labeling of raw produce (fruits and vegetables) and fish is voluntary. Withdrawal and recall The withdrawal or recall of unsafe food is one of the core responsibilities of FBOs aiming to protect customers from unsafe food. In cases of withdrawal or recall, FBOs are also responsible for cooperating with the relevant regulatory authorities. CODEX ALIMENTARIUS According to provisions of the Recommended International Code of Practice General Principles of Food Hygiene, effective measures are required to ensure the rapid and complete recall of any lot of unsafe food from the market. In addition, if a product has been withdrawn because of an immediate health hazard, other products produced under similar conditions and which may therefore present a similar hazard to public health should be evaluated for safety and may ultimately need to be withdrawn as well. The principles also include the requirement to notify the public about existing hazards. Recalled products are to be under supervision until they are destroyed, used for purposes other than human consumption, determined to be safe for human consumption, or reprocessed in a manner to ensure safety. EUROPEAN UNION The withdrawal and recall provisions in EU food safety legislation are set out in the EU General Food Law. The obligation to withdraw a food from the market applies if (1) the food is considered by the FBO not to be in compliance with food safety requirements and (2) the food is on the market, but is no longer under the immediate control of the initial FBO. Withdrawal is the removal of a food from the market if the food has been taken to market, but has not yet reached the public. A recall is implemented if the product has reached customers and other measures have not been sufficient to ensure a high level of health protection. Withdrawal and recall procedures must include steps to inform and collaborate with the relevant regulatory authorities even if the FBO only suspects that the food is not fit for consumption. Principal Food Safety Regulations   ▪  35 UNITED STATES Before the FSMA, all FDA-regulated food recalls were voluntary for the industry except in the case of infant formula. Since the introduction of the FSMA, the FDA is authorized to issue mandatory recalls of any FDA- regulated food, including all domestic and imported food products except meat, poultry, and egg products. Nonetheless, apart from the case of infant formula, the FDA must follow a three-step process prior to ordering the recall, as follows: ▪▪ Determine that there is evidence of a threat that meets a certain standard of proof CHAPTER ▪▪ Offer the company the opportunity to recall the product voluntarily before the mandatory recall is ordered ▪▪ Provide the company with the opportunity to challenge a recall decision In 2003, the FDA issued recall guidance to companies that addresses both voluntary and mandatory recalls.20 The recall procedure consists of the recall submission to the FDA, public notification, and evaluation of the 2 recall. Meat and poultry recalls are voluntary, and they are initiated by the manufacturer or distributor, sometimes at the request of the Food Safety and Inspection Service (FSIS).21 If a company refuses to recall its products, however, FSIS has the legal authority to detain and seize any of the products that are on the market. If FSIS learns through inspections, sampling programs, or other activity that a potentially unsafe or mislabeled meat or poultry product is being marketed, it investigates the need for a recall. In case of an actual recall, FSIS notifies the public. The recall information is issued to media outlets in the areas where the product has been distributed, and this information is likewise posted on the FSIS website.22 Useful to know: A market withdrawal may occur if a product displays a minor violation that would not be subject to FDA or FSIS legal action. For example, a product that shows no evidence of manufacturing or distribution problems may be withdrawn from the market because of tampering. Microbiological criteria for food and residues control MICROBIOLOGICAL CRITERIA Microbiological criteria play an important role in the validation and verification of HACCP procedures and other hygiene control measures. Thus, appropriate microbiological criteria must be set to determine limits of acceptability, along with food safety microbiological criteria to establish the limits above which a foodstuff should be considered unacceptably contaminated by the microorganisms that are the subject of the criteria. Codex Alimentarius The Codex Alimentarius sets microbiological criteria for food that determine the acceptability of a product or a food lot based on the absence, presence, or number of microorganisms, including parasites, or the quantity of toxins or metabolites per unit of mass, volume, area, or lot. In general, regulatory authorities or FBOs may use microbiological criteria to distinguish between acceptable and unacceptable raw materials, ingredients, products, or lots. The Codex Alimentarius also emphasizes the importance of microbiological criteria in the verification or validation of the efficacy of HACCP plans. European Union Commission Regulation (EC) No. 2073/2005 on the microbiological criteria for foodstuffs establishes the food safety criteria for certain important foodborne bacteria, including their toxins and metabolites. 36  ▪  FOOD SAFETY HANDBOOK These include Salmonella, Listeria monocytogenes, Cronobacter sakazakii, Staphylococcal enterotoxin, and Histamine in specific foodstuffs. These microbiological criteria have been developed in accordance with Codex Alimentarius. FBOs are required to ensure that foodstuffs comply with the relevant microbiological criteria set out in the regulation. The regulation requires FBOs to perform tests as appropriate against the microbiological criteria to validate or verify that the procedures are functioning correctly based on HACCP principles and best hygienic practice. 2 United States There is no uniform microbiological standard in the U.S. food safety system. A standard has not been adopted CHAPTER because of the wide variation in products and processing procedures, which are constantly changing. Instead, FDA and FSIS simply provide guidance documents that include microbiological criteria for certain foods. A good starting point is the FDA’s (2012) Bad Bug Book, which contains a wealth of information on food- borne illness-causing microorganisms. FSIS has developed guidance documentation on Escherichia coli, Listeria monocytogenes, Salmonella, and Trichinella.23 The FDA is in the process of updating its guidance documentation to establish a more harmonized framework for addressing biological hazards in food. The FDA is also aiming to provide guidance on the implementation aspects of hazard analysis and risk-based preventive controls for human food (FDA 2018). The FDA has developed compliance policy guides for product categories that describe its policies on compli- ance and set out specific criteria that must be met by producers.24 The contaminants covered by these guides include foodborne pathogens, bacterial toxins, mycotoxins, and bacterial indicators, for example, Escherichia coli. Some states also have their own microbiological standards for foods. RESIDUES CONTROL Residues control aims to protect public safety by setting maximum residue levels (MRLs) in accordance with generally recognized principles of safety assessment, taking into account any other scientific assessment of the safety of the substances concerned that may have been undertaken by international organizations, particularly the CAC. Codex Alimentarius The CAC has addressed the residues control issue through its Committee on Pesticides Residues and its Committee on Residues of Veterinary Drugs in Food. The former is responsible for establishing MRLs of pes- ticides in specific food items or in groups of food. The latter committee determines the priorities in considering the residues of veterinary drugs in foods and recommends MRLs on veterinary drugs. The MRLs on pesticides and veterinary drugs are constantly being developed and updated. European Union Regulation (EC) No. 396/2005 on the MRLs of pesticides in or on food and feed of plant and animal origin sets out the regulatory framework for the MRLs on pesticides.25 All MRLs also apply to products after processing, although they may be adjusted to take account of dilution or concentration as a result of the processing. EU leg- islation stipulates that, in the absence of scientific evidence, the MRL of any substance is 0.01 parts per million. The use of hormones in animals is forbidden in the EU. Commission Regulation (EU) No. 37/2010 sets out the regulatory framework for the MRLs on veterinary drugs.26 United States The U.S. government regulates pesticides under a broad authority granted in two major statutes, the Federal Insecticide, Fungicide, and Rodenticide Act and the Federal Food, Drug, and Cosmetic Act. These laws have Principal Food Safety Regulations   ▪  37 been amended by the Food Quality Protection Act of 1996 and the Pesticide Registration Improvement Act of 2003. The FDA maintains and updates a list of all allowed pesticides and the associated MRLs. It uses this list for enforcement: any substance not on the list must not be present in food (zero tolerance). This is a notable difference with the EU. ­ The Center for Veterinary Medicine is tasked with ensuring the safety of animal-derived foods and the avail- ability of safe and effective animal drugs.27 It monitors the adherence of the industry to legal, administrative, CHAPTER and regulatory programs and policies. In recent years, the FDA has outsourced the MRL database. However, a free login is available to search current MRLs on pesticides, veterinary drugs, contaminants, and food additives.28 Import and export 2 Laws and regulations must be followed by domestic and foreign FBO importers and exporters in each country. Moreover, the world food community has established shared principles on the import and export trade that provide the possibility of developing an efficient system of state control, while avoiding deceptive marketing practices. Codex Alimentarius Recognizing that quality and safety become more secure through the application of well-designed food con- trol systems for exports and imports, principles on food import and export inspection and certification have been developed by the Codex Committee on Food Import and Export Inspection and Certification Systems (FAO and WHO 2012). European Union The main rule for food imports to the EU is that the products should meet the same hygiene and safety stan- dards as food produced in the EU. However, the requirements differ for imports of food of animal origin and food of nonanimal origin or food containing ingredients of animal and plant origin.29 LIVE ANIMALS AND FOOD OF ANIMAL ORIGIN Live animals and food of animal origin can be imported into the EU only from non-EU countries included in a list compiled by the community and only from establishments approved by the community.30 Such food products are also subject to compulsory controls at border control points, at which official veterinarians are responsible for carrying out required health checks on incoming consignments. Official border controls are conducted on a fee basis. On December 14, 2019, the fees were updated based on Regulation (EC) No. 625/2017. The fees may vary in each EU member state. Prior notification of consignment arrival is required, and a consignment must be accompanied by the required documents, including an appropriate certificate issued by the competent authority in the third country. Special import conditions may be imposed on the consignment if the imported products are named on the List of Special Import Conditions.31 This list indicates the products from each country that are to be checked as well as any control actions that may be taken. Only after these checks prove successful and all necessary information cited in the common entry veterinary doc- ument has been received is the consignment allowed to enter the EU. Consignments that are found not to be compliant with EU legislation are destroyed or, under certain conditions, redispatched within 60 days. If any of the checks indicates that a consignment of animals or animal products is likely to constitute a danger to animal or human health, the consignment is immediately seized and destroyed by the competent authorities. 38  ▪  FOOD SAFETY HANDBOOK FOOD OF NONANIMAL ORIGIN Food of nonanimal origin may be imported into the EU from any third country. No special approval of the country or of the exporting establishment in the third country is required. Import controls on food of non- animal origin take place in accordance with national law in the different member states. This may be at the point of entry, the point of release for free circulation, the importer’s premises, or retail outlets. Certain food of nonanimal origin are imported into the EU through designated points of entry. With certain exceptions, such food is not required to undergo a prenotification procedure. It may also be allowed to enter the EU without certification by competent authorities in the third country of dispatch. Only certain plants and plant products 2 must be accompanied by a phytosanitary certificate issued by the national plant protection organization of CHAPTER the exporting country. According to Regulation (EU) No. 2016/2031, upon entry into the community, the phytosanitary certificate may be replaced by a plant passport. United States Food imported to the United States must meet the same legal standards as food produced domestically. The FSMA contains significant requirements for importers. In particular, importers must verify the safety of the food offered for import through the Foreign Supplier Verification Program. This program requires importers to conduct risk-based verification activities to ensure that imported food is not adulterated or misbranded and is produced in compliance with FDA preventive controls requirements and produce safety standards. Verification activities may include monitoring records on shipments, lot-by-lot certification compliance, annual on-site inspections of the hazard analysis and risk-based preventive control plans of the foreign sup- pliers, and periodic testing and sampling of shipments.32 The verification program is mandatory, unlike the Voluntary Qualified Importer Program, which is entirely voluntary and gives importers a green light to import foods from trusted, certified suppliers.33 Noncompliance with the verification program represents a basis for rejecting an imported article. The FSMA authorizes the FDA to require that imported foods considered high risk because of potential health consequences be accom- panied by a credible third-party certification or other assurance of compliance as a condition of entry into the United States. Before products may be imported to the United States, the FDA also requires both domestic and foreign food facilities to register with the FDA.34 The FDA is also to be provided with advance notice on shipments of imported food, including the product code of the food to be imported.35 A foreign facility that manufactures, processes, packs, or stores food is required to register with the FDA unless food from the facility undergoes additional processing, including packaging, at another foreign facility before the food is exported to the United States. Food facilities may be registered and prior notice may be submitted online. Food facilities are required to renew the registration between October 1 and December 31 of every even year. Imported food products are subject to FDA inspection if they are offered for import at U.S. ports of entry. The FDA may detain shipments of products offered for import if the shipments are found not to be in compliance with U.S. requirements. Unlike the FDA, for which inspection requirements are company-specific, the FSIS coordinates with the government of the exporting country before accepting meat, poultry, or egg products for sale in the United States. In particular, to import meat, poultry, or eggs into the United States, these products must originate from certified countries and establishments within these countries that are eligible to export to the United States.36 Principal Food Safety Regulations   ▪  39 Regulatory authority The issue of food safety regulation is one of the most important in terms of ensuring both customer health and effective FBO operations. Indeed, the ability to produce safe food and to be trusted by potential customers is crucial for food producers aiming to integrate their businesses into the international food trade. This means that food safety systems are a key issue in the private sector. At the same time, however, food safety regulations can also impose a heavy administrative burden on businesses. CHAPTER Codex Alimentarius The Codex Alimentarius international food standards, guidelines, and codes of practice contribute to the safety, quality, and fairness of international food trade. Consumers can trust the safety and quality of the food products they buy, and importers can trust that the food they order will meet their specifications. While the standards are only recommendations for national authorities and are voluntary, they serve in many cases as a 2 basis for national legislation. The reference to codex food safety standards in the World Trade Organization’s Agreement on the Application of Sanitary and Phytosanitary Measures means that the codex has far-reaching implications for the resolution of trade disputes. Members of the World Trade Organization that wish to apply stricter food safety measures than those set out in the codex may be required to justify these measures scientifically. Since its foundation in 1963, the codex system has evolved in an open, transparent, and inclusive manner to meet emerging challenges. The codex system contains four levels of documentation, as follows: ▪▪ Guidelines: these are intended as a regulatory structure for authorities and are less relevant for FBOs. ▪▪ Codes of practice: these are broad lists of documents covering hygienic practices across various processes associated with the food industry and with preventive measures for contaminants; these documents are a good starting point for FBOs. ▪▪ Standards: these give a comprehensive description of foodstuffs, including specifications, levels of defects, and product acceptability criteria; the documents can serve as a starting point among FBOs in establishing raw material and product specifications.37 ▪▪ MRLs and related databases: the MRL document provides guidelines for the management by authorities of residues of veterinary drugs in food, whereas the related databases supply information on pesticide residues, veterinary drug residues, and general standards for food additives; these are thus a good source of information for FBOs. European Union The European Food Safety Authority is an independent European agency funded by the EU budget that oper- ates separately from the European Commission, European Parliament, and EU member states. The agency’s role involves assessing and communicating risks associated with the food chain. Through its risk communica- tion activities, it seeks to raise awareness and explain the implications of its scientific work. It aims to provide appropriate, consistent, accurate, and timely communications on food safety issues to all stakeholders and the public at large based on its risk assessments and scientific expertise. In the EU, the regulatory authority in each member state is responsible for coordinating the enforcement of national food safety legislation, and the food and veterinary office is tasked with supervising the performance of the regulatory authority.38 40  ▪  FOOD SAFETY HANDBOOK The Rapid Alert System for Food and Feed has been established to provide authorities with an effective tool to exchange information about measures taken in response to serious risks detected in relation to food or feed.39 The information exchange helps authorities act more rapidly and in a coordinated manner in response to a health threat rooted in food or feed. If network participants have any information about serious health risks linked to food or feed, they must immediately notify the European Commission using the system. According to Regulation (EC) No. 625/2017, the system is eventually to be replaced by an information management system for official controls. 2 United States CHAPTER Two primary federal agencies are responsible for the U.S. food system, namely, the FDA and the USDA. The USDA oversees the regulation of meat, poultry, and processed egg products. Within the USDA, the FSIS inspects and regulates meat, poultry, and processed egg products that are produced in federally inspected plants. The FSIS ensures that these products are safe, wholesome, and correctly labeled and packaged. The FDA regulates virtually all other foods. In particular, the Center for Food Safety and Applied Nutrition (CFSAN) ensures that the food supply is safe, sanitary, wholesome, and honestly labeled. Among other agencies responsible for food system–related issues are the following: ▪▪ The Department of Homeland Security coordinates food security activities, including at U.S. borders. ▪▪ The National Marine Fisheries Service in the U.S. Department of Commerce conducts voluntary fee-for-service inspections of seafood safety and quality. ▪▪ The Environmental Protection Agency monitors pesticide use and the MRLs in food commodities and animal feed. ▪▪ The Centers for Disease Control and Prevention, within the U.S. Department of Health and Human Services, investigates outbreaks of foodborne illness and tracks individual cases. In the states, food safety regulatory functions may be carried out by departments of health, agriculture, or environment or some combination of these. State agencies perform a wide range of food safety functions, including outbreak response and recalls, laboratory testing, and retail, food service, processing, and farm inspections.40 Local public health departments normally carry out restaurant inspections and other commu- nity food safety activities. Other relevant regulations European Union There are several reasons why Regulation (EC) No. 625/2017, enacted on December 14, 2019, is an important milestone for food safety in the EU. First, it reduces legal fragmentation by repealing 10 regulations and com- mission directives and decisions, and amends others. Previously, animal welfare, pesticide residues, products of animal origin, and other segments of the supply chain were regulated separately. They are now under one legal roof. Second, it strengthens the basic principles of previous laws. Although the new regulation does not change important principles, such as the transparency of controls and cooperation among member states, it clarifies existing provisions through greater precision. Third, it improves the harmonization of procedures and standards. For example, it creates a single information management system for official controls, by integrating systems, such as the Rapid Alert System for Food and Feed, and facilitates the exchange of information among Principal Food Safety Regulations   ▪  41 member states. Fourth, it repeatedly invokes Article 144, which gives the European Commission the power to adopt delegated acts. It is an important step because it establishes the legal basis for more sweeping future changes. It is anticipated that the implementation of Regulation (EC) No. 625/2017 will lead the U.S. government to classify the EU member states among the countries with FSMSs equivalent to the U.S. system. Relevant future exports from the EU to the United States will thus be facilitated in light of the favorable provisions of the FSMA. CHAPTER United States The passage of the FSMA in 2011 represented the first major reform of the FDA food safety authority in over 70 years. The law requires the enhanced regulation of produce from farm to sale and of other FDA-regulated foods from processing to sale. It also introduces food defense requirements. The FSMA alters the role of 2 the FDA in food safety through five key changes: (1) a shift in focus from reaction to prevention, including the prevention of intentional contamination; (2) an increase in the authority to inspect and to ensure compliance with inspection frequencies based on risk; (3) the recognition of a new authority to make recalls mandatory; (4) controls on imports are strengthened to ensure that U.S. food safety standards are met; and (5) partner- ships with other government agencies and private entities are reinforced. PREVENTIVE CONTROLS: HUMAN FOOD The FSMA requires FBOs to produce written food safety plans that include a hazard analysis and establish preventive controls. The first step in hazard analysis is hazard identification, which involves diligence in considering known or reasonably foreseeable biological, chemical, and physical hazards. These hazards may occur naturally or be intentionally introduced, including for economic gain. Preventive controls are the measures implemented to ensure that hazards are minimized or prevented. They include process controls, food allergen controls, sanitation controls, supply chain controls, and a recall plan. The oversight and management of preventive controls involves monitoring, corrective action, and verification. ▪▪ Monitoring is the set of procedures undertaken as needed to ensure that preventive controls are consistently applied. ▪▪ Corrective actions are steps taken to identify and correct a minor, isolated problem that occurs during food production. They include the application of preventive controls to reduce the likelihood that the problem will recur, evaluate affected food for safety, and remove any unsafe food from the market. Corrective actions are always documented. ▪▪ Verification is the set of activities required to ensure that preventive controls are consistently applied and effective. It involves producing scientific evidence that a preventive control is able to identify and eliminate a hazard, undertaking calibration or accuracy checks of process monitoring and instruments such as thermometers, and reviewing records to verify that monitoring and necessary corrective actions are being conducted. Operations defined as farms in the FSMA are not subject to the preventive controls rule. The supply chain is made more flexible by instituting separate compliance dates. The rule requires manufacturing or processing facilities to establish risk-based supply chain control programs for raw materials and other inputs that have been identified as hazard risks. However, manufacturing or processing facilities that use preventive controls on hazards or that follow regulations allowing reliance on customers to control hazards do not need to have a supply chain program for those risk hazards. Relevant food facilities are responsible for ensuring that they 42  ▪  FOOD SAFETY HANDBOOK receive foods only from approved suppliers or, on a temporary basis, from unapproved suppliers whose mate- rials are subject to verification activities before being accepted for use. The FSMA updated and clarified good manufacturing practices (GMPs) as follows: ▪▪ FBO management is required to ensure that all employees who manufacture, process, pack, or store food are qualified to perform their assigned duties. ▪▪ FBO employees must have the education, training, or experience necessary to manufacture, 2 process, pack, or store clean and safe food. CHAPTER ▪▪ FBO employees must receive training in the principles of food hygiene and food safety, including the principles of employee health and hygiene. Foreign supplier verification programs According to the FSMA, importers of food for humans and animals must be subject to foreign supplier ver- ification programs. The rule requires that importers perform certain risk-based activities to verify that food imported into the United States has been produced in a manner that meets applicable U.S. safety standards. Importers covered by the rule must have a system in place to verify that their foreign suppliers are producing food in a manner that provides the same level of public health protection as the preventive controls or apply safety regulations as appropriate to ensure that the food is not adulterated and is not misbranded with respect to allergen labeling. Importers are responsible for the following: ▪▪ Determining known or reasonably foreseeable hazards with each food ▪▪ Evaluating the risk posed by an imported food based on hazard analysis or food safety performance indicators on foreign suppliers, such as complaints, withdrawals, or recalls ▪▪ Using the evaluation of the risk associated with an imported food and a supplier’s performance to approve suppliers and determine appropriate supplier verification activities ▪▪ Conducting supplier verification activities ▪▪ Conducting corrective actions Third-party certification The third-party certification rule establishes a voluntary program for the accreditation of third-party certifica- tion bodies, also known as auditors, to conduct food safety audits and issue certifications for foreign facilities and the foods they produce for humans and animals. These requirements cover legal authority, competency, capacity, safeguards against conflicts of interest, quality assurance, and documentation procedures. The certif- icates may be used by importers to establish eligibility for participation in the Voluntary Qualified Importer Program, which offers the expedited review and entry of imported food. To prevent potentially harmful food from reaching U.S. consumers, the FDA can also require in specific circumstances that a food offered for import be accompanied by certification from an accredited third-party certification body. Produce safety The produce safety rule establishes, for the first time, science-based minimum standards for the safe growing, harvesting, packing, and storage of fruits and vegetables grown for human consumption. According to the rule, for certain uses, no detectable generic Escherichia coli can be present in agricultural water if there is a reasonable likelihood that potentially dangerous microbes may be transferred to produce through direct or indirect contact. Agricultural water that is directly applied to growing produce other than sprouts is subject to a second set of criteria based on two values: the geometric mean and the statistical threshold. The geometric mean of samples is 126 or fewer colony-forming units of generic Escherichia coli in 100 milliliters of water, Principal Food Safety Regulations   ▪  43 and the statistical threshold of samples is 410 or fewer colony-forming units of generic Escherichia coli in 100 milliliters of water. Testing is required for untreated water used for certain purposes based on the testing frequency for the type of water source, that is, surface or groundwater. A biological soil amendment is a material, including manure, that is intentionally added to the soil to improve its chemical or physical condition for growing plants or to improve its capacity to hold water. Untreated biological soil amendments of animal origin, such as raw manure, must be applied so that they do not come CHAPTER into contact with covered produce during application, and the potential for contact with covered produce after application must also be minimized. The FDA does not object if farmers comply with USDA National Organic Program standards, which call for a 120-day interval between the application of raw manure to crops in contact with the soil and a 90-day interval for crops not in contact with the soil. Microbial standards that impose limits on the detectable amounts of bacteria, including Listeria monocytogenes, Salmonella species pluralis, fecal coliforms, and Escherichia coli, have been established for processes used to treat biological soil 2 amendments, including manure. The FSMA imposes new requirements to help prevent the contamination of sprouts, which have been fre- quently associated with outbreaks of foodborne illness. Sprouts are especially vulnerable to dangerous microbes because of the warm, moist, and nutrient-rich conditions needed for their growth. Food defense Food defense is the effort to protect the food supply against intentional contamination arising because of sab- otage, terrorism, counterfeiting, or other illegal, intentionally harmful means. Potential contaminants include biological, chemical, and radiological hazards that are generally not found in foods or their production envi- ronment. The FDA intentional adulteration rule requires domestic and foreign facilities to address vulnerable processes in their operations to prevent acts on the food supply intended to cause large-scale public harm. While all large FBOs were required to comply with this rule by July 27, 2019, small FBOs and very small FBOs are required to comply only by July 27, 2020, and July 26, 2021, respectively. THE SANITARY TRANSPORTATION OF HUMAN AND ANIMAL FOOD The sanitary transportation rule establishes requirements for vehicles and transportation equipment, trans- portation operations, training, and recordkeeping. Operators of motor vehicles, railcars, and other equipment used in food transportation are required to set out written procedures, subject to recordkeeping requirements, for cleaning their vehicles and transportation equipment. ADMINISTRATIVE DETENTION The FSMA enhances the FDA administrative detention authority by authorizing the FDA to administratively detain articles of food that the FDA has reason to believe may be adulterated or misbranded. REGULATIONS ON FRUITS AND VEGETABLES All imported fruits and vegetables must be free of plant litter, debris, or any parts of plants that are specifi- cally prohibited in the regulations. Whether commercial or noncommercial consignments, they must also be imported under permits issued by the Animal and Plant Health Inspection Service. Port of entry Fruits and vegetables must be imported into specific ports if so required or they may be imported into any port listed in 19 CFR 101.3(b)(1). Fruits and vegetables that are to be cold treated at ports in the United States may only be imported into specific ports. 44  ▪  FOOD SAFETY HANDBOOK Inspection, treatment, and other requirements All imported fruits or vegetables are subject to inspection and disinfection at the port of first arrival as may be required by a border control post inspector and are subject to reinspection at other locations at the option of an inspector. If an inspector finds plants or portions of plants, or a plant pest or noxious weed, or evidence of a plant pest or noxious weed on or in any fruit or vegetable or its container, or finds that the fruit or vegetable may have been associated with other articles infested with plant pests or noxious weeds, the owner or agent of the owner of the fruit or vegetable must clean or treat the fruit or vegetable and its container as required by the inspector, and the fruit or vegetable is also subject to reinspection, cleaning, and treatment at the option of 2 the inspector at any place and time until all applicable requirements have been accomplished. CHAPTER Any person importing fruits and vegetables into the United States must offer those agricultural products for inspection and entry at the port of first arrival. The owner or agent must assemble the fruits and vegetables for inspection at the port of first arrival, or at any other place designated by an inspector and in a manner designated by the inspector. All fruits and vegetables must be accurately disclosed and made available to an inspector for examination. The owner or the agent must provide an inspector with the name and address of the consignee and must make full disclosure of the type, quantity, and country and locality of origin of all fruits and vegetables in the consignment either orally for noncommercial consignments or on an invoice or similar document for commercial consignments. If an inspector finds that an imported fruit or vegetable is prohibited, or is not accompanied by required docu- mentation, or is so infested with a plant pest or noxious weed that, in the judgment of the inspector, it cannot be cleaned or treated, or contains soil or other prohibited contaminants, the entire lot or consignment may be refused entry into the United States. No person may move a fruit or vegetable from the port of first arrival unless an inspector has (1) released it; (2) ordered treatment at the port of first arrival and, after treatment, released the fruit or vegetable; (3) autho- rized movement of the fruit or vegetable to another location for treatment, further inspection, or destruction; or (4) ordered the fruit or vegetable to be reexported. If an inspector orders any disinfection, cleaning, treatment, reexportation, recall, destruction, or other action with regard to imported fruits or vegetables while the consignment is in foreign commerce, the inspector will issue an emergency action notification to the owner of the fruits or vegetables or to the owner’s agent. The owner must, within the time and in the manner specified in the emergency action notification, destroy the fruits and vegetables, ship them to a point outside the United States, move them to an authorized site, or apply treatments or other safeguards to the fruits and vegetables as prescribed to prevent the introduction of plant pests or noxious weeds into the United States. The Animal and Plant Health Inspection Service is responsible only for the costs of providing the services of an inspector during regularly assigned hours of duty and at the usual places of duty. The owner of the imported fruits or vegetables is responsible for all additional costs of inspection, treatment, movement, storage, destruc- tion, or other measures ordered by an inspector, including any labor, chemicals, packing materials, or other supplies. The inspection service will not be responsible for any costs or charges other than those identified in this section. Other jurisdictions: The Eurasian Economic Union This section provides information on the production and marketing of food products in the Eurasian Economic Union (EAEU). It is based on a report of the World Bank (2015). Principal Food Safety Regulations   ▪  45 The EAEU, an international organization for regional economic integration, was established by the Treaty on the Eurasian Economic Union of May 29, 2014. The member states are Armenia, Belarus, Kazakhstan, the Kyrgyz Republic, and the Russian Federation. The EAEU ensures the free circulation of goods, services, capi- tal, and labor as well as coordinated, coherent, or unified economic policy. It has been established to promote comprehensive modernization, cooperation, competitiveness, the improvement of the national economies, and the creation of an environment for sustainable development to raise the living standards of the citizens of the member states. CHAPTER Legal instruments The EAEU system of normative regulation consists of general and product-specific technical regulations (TRs) that provide a framework for food controls (figure 2.2). The common framework is supported by the laws, regulations, and standards of member states. The main legal instruments are TRs. There are also standards, which are voluntary, though products must comply with laws on TRs to promote regional stan- ­ 2 dardization. Standardization is fostered through national standards and TRs that are applied by manufac- turers, who demonstrate compliance by using appropriate product labeling for the benefit of end users or for transportation and following proper procedures and requirements. The standards and TRs are directly applicable in member states. With some exceptions, however, they do not address implementation mecha- nisms, which are covered only in the national laws and regulations of EAEU member states. While directly applicable, the TRs focus mainly on the technical aspects of products. They establish specifications, not poli- cies. Among food categories for which product-specific TRs have not yet been developed, the national laws of EAEU member states apply. To be compliant within the EAEU, stakeholders must take into consideration compliance with the EAEU TRs as well as the laws and standards of the member states. Furthermore, FBOs must be aware that the EAEU system does not address enforcement, fines, penalties, incident management, recalls and withdrawals, authorization and approval of new substances (pesticides or veterinary medicines), and so on. All these issues are tackled within the framework of the national legislation of member states. This increases the complexity of the regulatory environment and of compliance among actors wishing to export to the EAEU and among governments wishing to model or harmonize their approaches relative to the EAEU. Organizational arrangements The legal framework in the EAEU combines horizontal and vertical regulations. Several TRs on general food safety, labeling, packaging, and food additives and flavorings cover issues horizontally across all food products and, in the case of the TR on packaging, also nonfood items. A horizontal TR is also currently being drafted on materials that come into contact with food. The vertical TRs are specific to product groups, particularly grains, oils and fats, fruit and vegetable juices, meat and meat products, and milk and dairy products. Additional vertical TRs are being drafted on alcohol products, poultry and poultry products, fish and fish products, and bottled potable water, including mineral water. The EAEU TRs include requirements that relate to market circulation and distribution. The most important requirement is that food must pass through compliance assessment procedures and bear a special EAEU logo as proof of compliance (box 2.1). Furthermore, because the EAEU is based on compliance assessments, many food products have to meet compositional standards, as well as requirements on chemical and physi- cal properties, nutritional properties, organoleptic properties (appearance, taste, touch, smell), and, in some cases, size. 46  ▪  FOOD SAFETY HANDBOOK Figure 2.2  Technical Regulations, Food Safety, Eurasian Economic Union Decisions of the commission on procedural aspects Framework agreements of the EAEU (for example, border control, joint checks in third countries) (for example, on common principles of technical regulation) Food Nonfood Sanitary, epidemiological, 2 and hygiene requirements Technical regulations CHAPTER Chapter II, section 1: safety requirements CU TR 021/2011 “On Food Safety” and nutritional value of food (all food categories) Chapter II, section 9: requirements CU TR 005/2011 “On the Safety of Packaging” for drinking water packed in containers CU TR 022/2011 “On Food Products Chapter II, section 15: requirements in Terms of Their Labeling” for pesticides CU TR 029/2012 “Requirements for the Chapter II, section 16: requirements Safety of Food Additives, Flavorings, and for food contact materials Technological Aids” Chapter II, section 21: requirements CU TR 033/2013 “On Milk and Dairy Products” for mineral water CU TR 034/2013 “On Meat and Meat Products” Chapter II, section 22: requirements for food additives and flavorings CU TR 023/2011 “On Fruit and Vegetable Juice Products” Chapter II, section 23: requirements for processing aids CU TR 024/2011 “On Oils and Fats” (nonfood as well) Uniform veterinary requirements Uniform phytosanitary requirements CU TR 015/2011 “On the Safety of Grain” CU TR 027/2012 “On the Safety of Certain Standards (national, regional, Types of Specialized Food Products, Including international): Foods for Dietary Treatment and Dietary ▪ As voluntary option of compliance with TRs Preventive Nutrition” ▪ Mandatory sampling and testing methods Each TR establishes: ▪ Items and processes regulated ▪ Safety requirements ▪ Rules of identification ▪ Forms and procedures of assessment (confirmation) of conformity Note: The list of TRs is not exclusive. Thus, CU TR 040/2016 “On the Safety of Fish and Fish Products,” CU TR 044/2017 “On the Safety of Bottled Water, Including Natural Mineral Water,” and CU TR 047/2018 “On the Safety of Alcohol Products” are not shown. Relevant sections of the uniform sanitary, epidemiology, and hygiene requirements are no longer adequate in the case of several TRs that were issued subsequently. Box 2.1  The EAEU Conformity Mark The Eurasian compliance logo—Cyrillic: Евразийское соответствие (ЕАС, Eurasian Compliant)—is a certifica- tion mark to indicate that a product marked with the logo conforms to all requirements of the correspond- ing TRs and has passed all compliance assessment procedures stipulated by EAEU TRs that apply to the product. The mark was introduced in August 2013. Principal Food Safety Regulations   ▪  47 The food control system In the EAEU, the food control system incorporates two levels: (1) food control through all-union compliance assessment and (2) individual member state controls (supervision) of sanitary, veterinary, and phytosanitary features (figure 2.3). Enforcement is carried out by national bodies designated as competent authorities for specific areas of state control (supervision) and competent authorities in the area of TRs. Compliance assessment is carried out CHAPTER by authorized certification bodies that are listed in a single EAEU table. Testing required for the purposes of enforcement is carried out by authorized testing laboratories, and there is a separate EAEU table of such laboratories. Specially designated bodies are responsible for registration and certification for several groups of products for which registration is required as one of the means of compliance assessment, such as specialized products, genetically modified organisms, and so on. 2 Within the EAEU, foodstuffs are subject to compliance assessment. The evaluation of food compliance is conducted according to the following steps: (1) confirmation (declaration) of the compliance of the food products, (2) state registration of the specialized food products, (3) state registration of new types of food products, and (4) veterinary-sanitary expertise assessment. Figure 2.3  Food Control System, Eurasian Economic Union Approved certification Competent authorities in the area (conformity assessment) Bodies on registration of novel food of technical regulation bodies Competent authorities in the area Approved testing Bodies on registration of state sanitary control laboratories of specialized food (supervision) Competent authorities in the area Bodies on state registration of state veterinary control of establishments engaged in (supervision) producing and processing of raw material of animal origin—meat, poultry, eggs, fish Competent authorities in the area of state phytosanitary control (supervision) Registers of ▪ Approved certification bodies Uniform lists ▪ Approved testing laboratories ▪ Products subject to mandatory assessment ▪ Specialized products (confirmation) of conformity ▪ Novel food ▪ Goods subject to sanitary and epidemiological ▪ Establishments not subject to state registration surveillance (control) ▪ Establishments subject to state registration ▪ Goods subject to veterinary control (engaged in producing and processing of raw material ▪ Goods subject to quarantine and of animal origin—meat, poultry, eggs, fish) phytosanitary control (surveillance) ▪ Establishments not subject to state registration ▪ Registered declarations of conformity ▪ Registered establishments in third countries (veterinary control) 48  ▪  FOOD SAFETY HANDBOOK Food products are also subject to state controls (supervision) (table 2.1).41 This combines border controls (people, vehicles, and goods) and internal controls in the member states. Food products are divided into three groups that are subject, respectively, to sanitary controls (epidemiological and hygiene), veterinary controls, and phytosanitary controls (supervision). The purpose of, for instance, the state sanitary controls (epidemi- ological and hygiene) is to eliminate or prevent the introduction or spread of infections and toxins that are hazardous to human health. The goal of state controls is the prevention of outbreaks, other emergencies, and 2 Table 2.1  General Framework of Food Safety Controls, Eurasian Economic Union CHAPTER Sanitary Veterinary Phytosanitary EAEU agreement on sanitary Agreement of the EAEU EAEU agreement on plant measures on veterinary and sanitary quarantine Key legal act measures Competent Competent authorities in the area of state sanitary control (supervision) in member states authority Scope Common list of goods Common list of goods subject List of goods subject to subject to sanitary and to veterinary control quarantine and phytosanitary epidemiological control control (supervision) (supervision) • Foodstuffs (products • Live animals • Vegetables, fresh or chilled ural or processed in nat­ form used for human • All food of animal origin, • Dried leguminous food) including those fresh and processed vegetables derived from geneti­cally engineered or modified • Food that has ingredients • Fruits, fresh, dried (transgenic) organisms of animal origin • Nuts, fresh or dried, • Materials, products, and • Yeasts, enzymes, starter whether or not shelled or equipment contacting cultures peeled with foodstuffs • Grains and other plant • Coffee, not roasted, • Pesticides and origin items when they are whether or not agrochemicals intended for manufacture decaffeinated of feed • Cocoa beans • Grains • Cereal flours • Seeds, whether or not broken Point of At the border and within the customs territory of the customs union control Documents Uniform sanitary, Uniform veterinary – that epidemiological, and hygiene requirements for goods establish requirements for goods subject to veterinary control compliance subject to veterinary control (supervision) criteria (supervision) continued Principal Food Safety Regulations   ▪  49 Table 2.1  (Continued) Sanitary Veterinary Phytosanitary Procedural Procedure for state sanitary Procedure for carrying out List of Quarantine Products documents and epidemiological control erinary control at the vet­ subject to quarantine and (supervision) over persons customs border and on the phytosanitary control crossing the EAEU customs customs territory of the (supervision) while being border and goods subject to EAEU imported to the common CHAPTER control that are being moved customs territory of the EAEU through the customs border Procedure for carrying and customs territory of out joint inspections and Procedure for carrying out the the EAEU sampling of goods (products) ­ quarantine and phytosanitary subject to vet­ erinary control control (supervision) at the Common templates of (supervision) on the territory external border of the EAEU product (goods) safety of the EAEU member states documentation and third countries Procedure for carrying out the 2 quarantine and phytosanitary Consolidated list of highly control in respect of quarantine dan­gerous and quarantine products that are moved diseases of animals within the common customs territory of the EAEU Common templates of veteri­ nary certificates (movement, import) Registers Common register of state Register of food production – registration certificates for objects (facilities) that are certain products subject to state registration acts of terrorism through the use of biological agents, chemicals, or radioactive substances.42 All food with ingredients of animal origin are subject to veterinary checks. When they are first imported or produced in the EAEU, certain specific products are subject to state registra- tion. This includes mineral, therapeutic, and bottled water; beverages, such as tonics and beer; food for spe- cial purposes, including food for babies and older children and food for pregnant and nursing women; food additives; foodstuffs derived from genetically engineered or modified (transgenic) organisms; and some foods that come into contact with other materials. Whether such products have been registered is verified during the implementation of state controls (supervision). Certain production or processing facilities must be registered. This requirement extends to facilities engaged in the production and processing of meat and meat products, milk and dairy products, poultry and poultry products, and fish and fishery products. The state registration of production or processing facilities is con- ducted by the agencies authorized for this purpose by the EAEU member states. This procedure begins with the registration application of the processor. An inspection of the facility follows to determine conformity with the requirements governing the processes established by the relevant TRs for production, processing, storage, transportation, sale, and disposal. The details of the procedure are established by legislation in the EAEU member states. Upon satisfactory completion of the inspection and the review of the findings, the agency designated with the relevant responsibility assigns an identification (record) number to the facility and adds the production facility in the register of food facilities subject to state registration. The state registration of a production or process- ing facility has no fixed expiration date; however, the registration may be suspended or cancelled in the case of a serious breach of the TR requirements. 50  ▪  FOOD SAFETY HANDBOOK The regulation of food quality issues In the EAEU, food product quality is usually defined in product definitions that include minimum require- ments on composition. These requirements may be found in the section in vertical (product-specific) TRs that is usually labeled “Safety requirements for” followed by the name of the product group. For example, the label might read “Safety requirements for fruit and/or vegetable juice products” as in customs union (CU) TR 023/2011 “On Fruit and Vegetable Juice Products.” This might also be the formulation in annexes on the microbiological, physical, and chemical properties and organoleptic characteristics of a product. The 2 intent in the EAEU TRs is to ensure that products entering the marketplace conform to the specific TRs in all attributes. The quality characteristics outlined in the TRs are aimed at ensuring the uniformity of the food CHAPTER products offered to consumers, satisfy the needs of vulnerable groups of consumers, and, for the purposes of product identification, to establish whether the products are subject to conformity assessment under the relevant TRs. According to a general rule that applies to compliance with the EAEU TRs, a manufacturer may choose whether to comply with the TR itself or with regional standards that are listed in support of each TR. Compliance with these standards is voluntary, but meets the requirements for compliance with the TR. Furthermore, if norms are absent in the EAEU TRs, the national norms of the member states apply. Food labeling In the EAEU, labeling requirements focus on consumer packaging and transport packaging. A packing list envelope must be attached, affixed, or enclosed with the product packaging. The EAEU has established that packaged food product labeling may include additional information that is otherwise not required. In the EAEU, labeling is one of the requirements in the specifications for mandatory compliance assessment. In this case, the label represents a declaration of compliance. Noncompliance may result in exclusion from the EAEU market. Food and food-related articles and materials requiring special authorization The EAEU has established that certain types of food, classes of substances, and materials that are added to food or come into contact with food must meet special requirements to ensure food safety and require spe- cial authorization to be placed on the market (World Bank 2015). These products include novel food, food supplements, food additives, food packaging, and other articles and materials that are in contact with food. These are broad groups of substances, materials, and articles. Each group is the subject of special laws and TRs, definitions, and authorization procedures. In the EAEU, only packing and bottling materials must be regulated as materials and items coming into con- tact with food (CU TR 005/2011). Work is under way to draft a TR on the safety of materials coming into contact with food. The EAEU approach to compliance assessment based on testing to define the safety of packaging and bottling materials is efficient. However, this approach assumes that, before releasing a product onto the market, the technical specifications (TSs) of the product will have been established. This means that the EAEU regulatory framework in this case is based mainly on the TSs set out for existing and approved packaging and bottling materials. Principal Food Safety Regulations   ▪  51 The microbiological criteria for food safety The EAEU relies on both vertical and horizontal regulations to establish microbiological requirements for foodstuffs. This legal foundation combines the general requirements for all foodstuffs in the horizontal CU TR 021/2011 “On Food Safety” with additional requirements established in vertical product-specific TRs for certain types of food. In the combined form, the requirements can be found in the uniform sanitary, epidemiological, and hygiene requirements for products subject to state control (supervision).43 At the same time, as a general rule, if a product-specific TR is adopted, the relevant sections of the uniform sanitary, epide- CHAPTER miological, and hygiene requirements lose their validity for the products covered by the new TR. The microbiological requirements of the EAEU focus on a combination of pathogens as well as indicative microorganisms and microorganisms associated with spoilage in finished products. This is because the inten- tion behind the EAEU regulatory framework is based on the compliance assessment of finished products as a mechanism to control food safety and quality as well as to identify foods. 2 Approaches to laboratory control, sampling, and testing Testing, sampling, and laboratory work are a part of the overall EAEU compliance assessment process, which aims at ensuring food safety through documents establishing conformity with the TRs, that is, the safety reg- ulations. Sampling is performed to ensure that products meet the requisite TRs. The samples are used to val- idate a variety of parameters, including pathogens, residues of pesticides, veterinary medicines, heavy metals, radionuclides, and mycotoxins. Testing methods and the specific requirements for testing are codified in the approved lists that support each TR and are established in national standards that are approved regionally within the EAEU. This establishes a certain degree of uniformity. Notes 1. See “Codex Alimentarius: International Food Standards,” Joint Food and Agriculture Organization of the United Nations–World Health Organization Food Standards Programme, Rome, http://www.fao.org​ /­fao-who-codexalimentarius/en/. 2. See Codex Online Databases, Codex Alimentarius, International Food Standards, Codex Alimentarius Commission Secretariat, Food and Agriculture Organization of the United Nations, Rome, http://www.fao.org​ /­fao-who-codexalimentarius/codex-texts/dbs/pt/. 3. For the latest full consolidated texts of all EU regulations and legislation mentioned in this chapter, see EUR-Lex (database), Publications Office of the European Union, Luxembourg, https://eur-lex.europa.eu/. 4. For guidance and other information on U.S. laws, statutes, and regulations under the statutory authority of the FDA that are mentioned in this chapter, see Guidance Documents and Regulatory Information by Topic (Food and Dietary Supplements) (database), U.S. Food and Drug Administration, Silver Spring, MD, https://www.fda.gov​ ​ ­guidance-documents-regulatory-information-topic-food​ /­food/guidance-regulation-food-and-dietary-supplements/ -and-dietary-supplements. 5. For the meat, poultry products, and egg products inspection acts mentioned here, see “Inspection Acts, Related Laws, and Guidance,” U.S. Department of Agriculture, Washington, DC, http://www.fsis.usda.gov/rulemaking. 6. See “Federal Insecticide, Fungicide, and Rodenticide Act (FIFRA) and Federal Facilities,” U.S. Environmental Protection Agency, Washington, DC, https://www.epa.gov/enforcement/federal-insecticide​ -fungicide-and-rodenticide-act-fifra-and-federal-facilities. 7. See Federal Register (database), Office of the Federal Register, National Archives and Records Administration, College Park, MD, https://www.federalregister.gov/. 8. See FDA Food Code (database), U.S. Food and Drug Administration, Silver Spring, MD, https://www.fda.gov/food​ /retail-food-protection/fda-food-code. 52  ▪  FOOD SAFETY HANDBOOK 9. See Case Law Indexes (database), National Agricultural Law Center, University of Arkansas, Fayetteville, AR, https://nationalaglawcenter.org/aglaw-reporter/case-law-index/. 10. See GAIN (Global Agricultural Information Network) (database), U.S. Department of Agriculture, Washington, DC, https://gain.fas.usda.gov/Pages/Default.aspx. 11. General Principles of European food legislation came into force in 2002 with the adoption of the EU Food Law, Regulation (EC) No. 178/2002, of January 28, 2002, which set out the general principles and requirements of food law, established the European Food Safety Authority, and defined procedures to ensure food safety. 12. For details about the approach, see European Commission (2004). 2 13. For a description of the U.S. food safety system, see FDA and USDA (2000). CHAPTER 14. For any Codex Alimentarius codes of practice mentioned in this chapter, see Codes of Practice (database), Codex Alimentarius, International Food Standards, Codex Alimentarius Commission Secretariat, Food and Agriculture Organization of the United Nations, Rome, http://www.fao.org/fao-who-codexalimentarius/codex-texts​ /codes-of-practice/en/. 15. This requirement does not apply to primary production, however. For the primary sector, a separate piece of leg- islation has been established since 1962 that provides for the organization of the market in agricultural products (EU Regulation No. 1308/2013). 16. Any U.S. federal rules or regulations mentioned in this chapter are accessible on a single searchable website. See e-CFR (Electronic Code of Federal Regulations) (database), Office of the Federal Register, National Archives and Records Administration, Government Publishing Office, Washington, DC, https://www.ecfr.gov/cgi-bin/ECFR?page=browse. 17. These are (1) small businesses as defined by FDA rules and (2) facilities or businesses with average annual food sales of less than $500,000 during the previous three years, but only so long as the majority of the food was sold directly to consumers, restaurants, or grocery stores, rather than third-party food brokers, and the sales activity occurred in the same state in which the facility is located or within 275 miles of the facility. 18. For any Codex Alimentarius guidelines mentioned in this chapter, see Guidelines (database), Codex Alimentarius, International Food Standards, Codex Alimentarius Commission Secretariat, Food and Agriculture Organization of the United Nations, Rome, http://www.fao.org/fao-who-codexalimentarius/codex-texts/guidelines/en/. 19. Weight is expressed in pounds and ounces or common or decimal fractions of the pound; in the case of liquids, the measure is the largest whole unit in quarts, quarts and pints, or pints, as appropriate. 20. “Guidance for Industry: Product Recalls, Including Removals and Corrections,” U.S. Food and Drug Administration, Silver Spring, MD, http://www.fda.gov/Safety/Recalls/IndustryGuidance/ucm129259.htm. 21. See the FSIS website, at https://www.fsis.usda.gov/wps/portal/fsis/home. 22. See “Current Recalls and Alerts,” Food Safety and Inspection Service, U.S. Food and Drug Administration, Washington, DC, https://www.fsis.usda.gov/wps/portal/fsis/topics/recalls-and-public-health-alerts/current-recalls-and-alerts. 23. See “Biological Hazard Guidance,” Food Safety and Inspection Service, U.S. Department of Agriculture, Washington, DC, https://www.fsis.usda.gov/wps/portal/fsis/topics/regulatory-compliance/compliance-guides-index​ /bacteria-guidance. 24. For any FDA policy guides mentioned in this chapter, see Manual of Compliance Policy Guides (database), U.S. Food and Drug Administration, College Park, MD, https://www.fda.gov/inspections-compliance-enforcement-and​ -criminal-investigations/compliance-manuals/manual-compliance-policy-guides. 25. For information on the MRLs on pesticides, see EU Pesticides Database, Directorate-General for Health and Food Safety, European Commission, Brussels, http://ec.europa.eu/food/plant/pesticides/eu-pesticides-database​ /public/?event=homepage&language=EN. 26. For these MRLs, see the veterinary category at Medicines (database), European Medicines Agency, Amsterdam, https://www.ema.europa.eu/en/medicines/field_ema_web_categories%253Aname_field/Veterinary. 27. See “Compliance and Enforcement,” Center for Veterinary Medicine, Rockville, MD, https://www.fda.gov/animal​ -veterinary/compliance-enforcement. 28. See the BCGlobal databases, Bryant Christie Inc., Sacramento, CA, http://www.bryantchristie.com/BCGlobal​ -Subscriptions. 29. To facilitate the export or import of goods between the EU and other countries, the European Commission has estab- lished the Market Access Database, a tool that provides users with information on import and export formalities Principal Food Safety Regulations   ▪  53 and tariffs based on the imported or exported product and the country of export or import. See MADB (Market Access Database), Directorate-General for Trade, European Commission, Brussels, https://madb.europa.eu/madb​ /­indexPubli.htm. 30. See Non-EU Country Establishments Database, Directorate-General for Trade, European Commission, https:// ec.europa.eu/food/safety/international_affairs/trade/non-eu-countries_en. 31. See “Special Import Conditions,” Directorate-General for Trade, European Commission, https://ec.europa.eu/food​ /­animals/vet-border-control/special-import-conditions_en. 32. However, importers are not required to conduct verification on products that are subject to low-acid canned food CHAPTER regulations or regulations on seafood or juice because these products undergo other processes. 33. See “Voluntary Qualified Importer Program (VQIP),” U.S. Food and Drug Administration, Silver Spring, MD, https://www.fda.gov/food/importing-food-products-united-states/voluntary-qualified-importer-program-vqip. 34. See “Online Registration of Food Facilities,” U.S. Food and Drug Administration, Silver Spring, MD, https://www​ .fda.gov/food/registration-food-facilities-and-other-submissions/online-registration-food-facilities. 35. See “Product Codes and Product Code Builder,” U.S. Food and Drug Administration, Silver Spring, MD, https:// 2 www.fda.gov/industry/import-program-resources/product-codes-and-product-code-builder. 36. For a list of certified countries and establishments, see “Eligible Foreign Establishments,” Food Safety and Inspection Service, U.S. Department of Agriculture, Washington, DC, https://www.fsis.usda.gov/wps​ /portal/fsis/topics​/­international-affairs/importing-products/eligible-countries-products-foreign-establishments​ /eligible-foreign-establishments. 37. For any Codex Alimentarius standards mentioned in this chapter, see Standards (database), Codex Alimentarius, International Food Standards, Codex Alimentarius Commission Secretariat, Food and Agriculture Organization of the United Nations, Rome, http://www.fao.org/fao-who-codexalimentarius/codex-texts/list-standards/en/. 38. Appendix A, table A.1, lists the web addresses of various relevant national, regional, and international regulatory authorities. 39. See “RASFF: Food and Feed Safety Alerts,” Rapid Alert System for Food and Feed, European Commission, Brussels, https://ec.europa.eu/food/safety/rasff_en. 40. For an overview of state departments of public health and state departments of agriculture and other information about food safety initiatives in the United States, see “Your Gateway to Food Safety Information,” U.S. Department of Health and Human Services, Washington, DC, https://www.foodsafety.gov/. 41. State sanitary controls (supervision) are implemented based on the product and process requirements set forth in the documentation on uniform sanitary, epidemiological, and hygiene requirements for products subject to state control (supervision). State veterinary controls are carried out according to documentation on uniform veterinary (veterinary and sanitary) requirements for goods subject to veterinary inspection (supervision). 42. Food products and other items covered by certain TRs are exempt from compliance with uniform sanitary, epide- miological, and hygiene requirements. These include, for example, materials and articles produced of polymer and other materials intended for contact with food and food media, labeling requirements, food additives and flavorings, and technological aids, as well as meat, meat products, milk, and dairy products. 43. CU TR 021/2011 “On Food Safety”; CU TR 005/2011 “On the Safety of Packaging”; CU TR 023/2011 “On Fruit and Vegetable Juice Products”; CU TR 027/2012 “On the Safety of Certain Types of Specialized Food Products, Including Foods for Dietary Treatment and Dietary Preventive Nutrition”; CU TR 033/2013 “On Milk and Dairy Products”; CU TR 034/2013 “On Meat and Meat Products.” As set out in the explanatory note of CU TR 021/2011, the requirements, including on microbiological safety, are based on national laws of the EAEU member states and on international requirements. References CAC (Codex Alimentarius Commission). 2003. “General Principles of Food Hygiene.” CAC/RCP 1-1969, Rev. 4-2003, CAC Secretariat, Food and Agriculture Organization of the United Nations, Rome. European Commission. 2004. “From Farm to Fork: Safe Food for Europe’s Consumers.” Office for Official Publications of the European Communities, Luxembourg. https://www.paceadesso.it/ew/ew_sitepage/3/from%20farm%20to%20 fork%20-An%20European%20Programme.pdf. 54  ▪  FOOD SAFETY HANDBOOK European Commission. 2007. “Food Traceability.” Factsheet (June), Directorate-General for Health and Consumer Protection, European Commission, Brussels. https://ec.europa.eu/food/sites/food/files/safety/docs/gfl_req_factsheet​ _traceability_2007_en.pdf. ———. 2018. “Guidance Document on the Implementation of Certain Provisions of Regulation (EC) No. 852/2004: On the Hygiene of Foodstuffs.” Directorate-General for Health and Food Safety, European Commission, Brussels. https:// ec.europa.eu/food/sites/food/files/safety/docs/biosafety_fh_legis_guidance_reg-2004-852_en.pdf. FAO (Food and Agriculture Organization of the United Nations) and WHO (World Health Organization). 2006. “FAO/ WHO Guidance to Governments on the Application of HACCP in Small and/or Less-Developed Food Businesses.” FAO Food and Nutrition Paper 86 (November), FAO, Rome. 2 ———. 2007. “Food Labelling.” 5th ed., Codex Alimentarius Commission Secretariat, FAO, Rome. CHAPTER ———. 2012. Food Import and Export Inspection and Certification Systems. 5th ed. Rome: Codex Alimentarius Commission Secretariat, FAO, Rome. FDA (U.S. Food and Drug Administration). 2012. Bad Bug Book: Handbook of Foodborne Pathogenic Microorganisms and Natural Toxins. College Park, MD: FDA. https://www.fda.gov/files/food/published/Bad-Bug-Book-2nd-Edition​ -%28PDF%29.pdf. ———. 2013. A Food Labeling Guide: Guidance for Industry. January. College Park, MD: Office of Nutrition, Labeling, and Dietary Supplements, Center for Food Safety and Applied Nutrition, FDA. ———. 2018. Hazard Analysis and Risk-Based Preventive Controls for Human Food: Guidance for Industry . Draft guidance (January). College Park, MD: Center for Food Safety and Applied Nutrition, FDA. https://www.fda.gov​ /­media/100002/download. ———. 2019. “Voluntary Labeling Indicating Whether Foods Have or Have Not Been Derived from Genetically Engineered Plants: Guidance for Industry.” March, Office of Nutrition and Food Labeling, Center for Food Safety and Applied Nutrition, FDA, College Park, MD. FDA (U.S. Food and Drug Administration) and USDA (U.S. Department of Agriculture). 2000. “A Description of the U.S. Food Safety System.” March 3, U.S. Codex Office, Food Safety and Inspection Service, USDA, Washington, DC. FoodDrinkEurope and EuroCommerce. 2013. Guidance on the Provision of Food Information to Consumers: Regulation (EU) No. 1169/2011. September. Brussels: FoodDrinkEurope and EuroCommerce. https://www.fooddrinkeurope.eu​ /­uploads/publications_documents/FDE_Guidance_WEB.pdf. USDA (U.S. Department of Agriculture). 2018a. “Australia: Food and Agricultural Import Regulations and Standards Report.” FAIRS Annual Country Report, GAIN Report AS1832 (November 16), Global Agricultural Information Network, Foreign Agricultural Service, USDA, Canberra, Australia. ———. 2018b. “Japan: Food and Agricultural Import Regulations and Standards Report.” FAIRS Annual Country Report, GAIN Report JA8113 (December 21), Global Agricultural Information Network, Foreign Agricultural Service, USDA, Tokyo. ———. 2019. “China, Peoples Republic of: Food and Agricultural Import Regulations and Standards Report.” FAIRS Export Certificate Report, GAIN Report CH 18087 (February 22), Global Agricultural Information Network, Foreign Agricultural Service, USDA, Beijing. WHO (World Health Organization) and FAO (Food and Agriculture Organization of the United Nations). 2009. Codex Alimentarius: Food Hygiene, Basic Texts. 4th ed. Rome: Codex Alimentarius Commission Secretariat, FAO. World Bank. 2015. Comparative Analysis of Certain Requirements of Food Legislation in the European Union and the Customs Union of Russia, Belarus, and Kazakhstan. Washington, DC: World Bank. CHAPTER 3 Food Safety Tools and Techniques 56  ▪  FOOD SAFETY HANDBOOK An overview of prerequisite programs The World Health Organization (WHO 1999, 4) defines a prerequisite program (PRP) as the “practices and conditions needed prior to and during the implementation of HACCP [hazard analysis critical control point (HACCP)] and which are essential for food safety.” PRPs provide a foundation for effective HACCP systems. They are often facility-wide programs rather than process or product specific. They aim to prevent or reduce the likelihood of food safety hazards. PRPs are outside the hazard control plan, but still within the HACCP system (figure 3.1). International Organization for Standardization (ISO) 22000:2018 defines a PRP as the “basic conditions and activities that are necessary within the organization . . . and throughout the food chain . . . to maintain food safety.”1 Food business operators (FBOs) can meet their food safety responsibilities by implementing food safety man- agement systems (FSMSs) along the food production chain. PRPs are the initial controls established by an FBO. The PRPs needed by an FBO depend on the segment of the food production chain in which the operator is active and the type of the food business. Examples of PRPs include good agricultural practice (GAP), good distribution practice, good hygiene practice, good manufacturing practice (GMP), good production practice, 3 good trading practice, good veterinary practice, and good warehouse practice. CHAPTER The ISO, the largest source of international standards, has issued numerous PRP standards. The PRP food safety standards and related guidelines—ISO/technical specification (TS) 22002—are as follows: part 1: food manufacturing (2009), ISO/TS 22002-1; part 2: catering (2013), ISO/TS 22002-2; part 3: farming (2011), ISO/TS 22002-3; part 4: food packaging manufacturing (2013), ISO/TS 22002-4; part 5: transport and stor- age (2019), ISO/TS 22002-5; and part 6: feed and animal food production (2016), ISO/TS 22002-6. Figure 3.1  Position of PRPs in an HACCP System HACCP plan(s) Standard operating procedures Industry sector PRPs, for example, GAPs, GDPs, GHPs, GMPs, and so on Note: GAP = good agricultural practice; GDP = good distribution practice; GHP = good hygiene practice; GMP = good manufacturing practice. Food Safety Tools and Techniques   ▪  57 PRPs thus represent the foundation of food safety. Without well-developed PRPs that are properly docu- mented, implemented, and maintained, an FBO risks serious problems. Most foodborne outbreaks are caused not by a breakdown or failure at critical control points (CCPs), but by a failure in one or more PRPs. The word “maintained” is used for a reason. Many businesses may face challenges, but small-scale producers and traders in developing countries especially need support in planning and implementing food safety management programs in line with international requirements and the guidelines and recommendations of the Codex Alimentarius Commission (CAC).2 Because ISO/TS 22002–specific guideline standards are aligned with the Codex Alimentarius, this chapter provides a high-level overview of PRPs and PRP requirements. A particular focus is ISO/TS 22002-1, the Food Manufacturing Specification Standard.3 ISO/TS 22002-1:2009 specifies the requirements for establishing, implementing, and maintaining PRPs to assist in controlling food safety hazards. ISO/TS 22002-1:2009 is applicable to all organizations, regardless of size or complexity, that are involved CHAPTER in manufacturing along the food chain and that are seeking to implement PRPs to address the requirements specified in ISO 22000:2018, clause 8.2. ISO/TS 22002-1:2009 is not designed or intended for use in other parts of the food supply chain. Food manufacturing operations are diverse, and the requirements specified in ISO/TS 22002-1:2009 may not apply to all individual establishments or processes. However, exclusions and alternative measures need to be 3 justified and documented through a hazard analysis, as described in ISO 22000:2018, 8.2. Any exclusions or alternative measures adopted should not affect the ability of an FBO to comply with the requirements. Examples of such exclusions include the other aspects considered relevant to manufacturing operations that are listed below under (1)–(5), beginning with (1) rework and ending with (5) food defense, biovigilance, and bioterrorism. ISO/TS 22002-1:2009 specifies the detailed requirements to be specifically considered in relation to ISO 22000:2018, 8.2.4, as follows: (1) the construction and layout of buildings and associated utilities; (2) the layout of premises, including zoning, workspace, and employee facilities; (3) the supply of air, water, energy, and other utilities; (4) pest control, waste and sewage disposal, and support services; (5) the suitability of equipment and the accessibility of equipment for cleaning and maintenance; (6) supplier approval and assur- ance processes (raw materials, ingredients, chemicals, and packaging); (7) the reception of incoming materials, storage, dispatch, transport, and product handling; (8) measures for the prevention of cross-­ contamination; (9) cleaning and disinfecting; (10) personnel hygiene; (11) product information and consumer awareness; and (12) other. ISO/TS 22002-1:2009 also adds other aspects considered relevant to manufacturing operations, as follows: (1) rework, (2) product recall procedures, (3) warehousing, (4) product information and consumer awareness, and (5) food defense, biovigilance, and bioterrorism. General information on PRPs PRPs support the HACCP plan PRPs deal with the good housekeeping concerns of individual establishments, whereas an HACCP manages specific process hazards. 58  ▪  FOOD SAFETY HANDBOOK FBOs must provide all documentation, including written programs, records, and results of all PRPs that support an HACCP system. For example, an establishment may conclude that Escherichia coli O157:H7 is a hazard that is not reasonably likely to occur during the establishment’s processing because the establishment has a PRP with purchase specifications addressing Escherichia coli O157:H7. PRP supporting documentation must be maintained. Without this documentation, the auditor of the Global Food Safety Initiative (GFSI) would question the adequacy of the establishment’s HACCP system and hazard analysis. GFSI auditors expect the PRP supporting documentation to include the program’s procedures and operational controls in written form. In addition, GFSI auditors expect the documentation to include records that demonstrate that the program is effective and that Escherichia coli O157:H7 is not reasonably likely to occur. Generally, an FBO’s own food safety inspectors are required to review testing and PRP records at least once a week. Differences between CCPs in establishment hazard control plans and in PRPs 3 PRPs are outside the hazard control plan, but still within the HACCP system. FBO auditors cannot apply the same criteria as they would in verifying the regulatory requirements of the hazard control plan. Inspection CHAPTER program personnel should evaluate PRPs and determine if they continue to support the decision in the hazard analysis. So what is the difference between a CCP in an establishment’s hazard control plan and a PRP? A CCP is designed to control a food safety hazard that has been determined to be reasonably likely to occur. A PRP may prevent a food safety hazard from occurring. PRPs set the stage for a hazard control plan and provide ongoing support for an FBO’s FSMS. They keep potential hazards from becoming sufficiently serious to affect adversely the safety of the foods produced. Thus, if an establishment fails to follow its PRP addressing the occurrence of Escherichia coli O157:H7, there is a significant food safety concern. The role of PRPs FBOs should revise their PRPs, as necessary, to ensure their effectiveness, and they should take appropriate corrective actions if they determine that their PRPs may have failed to prevent the contamination or adul- teration of a food product. Suppose an establishment addresses Escherichia coli O157:H7 in a PRP, but not in a hazard control plan. If the establishment produces an Escherichia coli O157:H7–positive product, this would be considered a deviation not covered by a specific corrective action or an unforeseen hazard. The establishment would therefore be required to take the corrective action, including reassessment. The PRP was not effective in reducing the likely risk in the processing environment. The review of records generated by PRPs PRP implementation must be associated with supporting documentation, such as records verifying implementation if this is referenced in the hazard analysis, hazard control plan, or sanitation standard ­ operating procedure (SOP). Records on monitoring and testing may include instances of less than perfect ­ control without resulting in a threat to food or product safety. However, records generated by PRPs must sup- port the decisions made in the establishment’s hazard analysis. When GFSI auditors review PRP records, they should review the records, results, and supporting documentation of the FBO’s hazard control plan. Hence, if the FBO is reviewing the results and records on a weekly basis, it may identify trends, missing records, and so on indicating that a PRP may no longer support the decisions made in the hazard analysis, which would represent noncompliance. Food Safety Tools and Techniques   ▪  59 Planning, developing, and managing PRPs During the identification and development of PRPs, it is essential to consider information on statutory and regulatory requirements; industry standards and codes of practice; CAC principles and codes of practice; and international food safety standards, for example, Food Safety System Certification (FSSC) 22000, BRC Global Standards, Safe Quality Food Programs, GLOBALG.A.P., and so on. Customer requirements include historic data, such as audit reports and customer complaints. All PRPs should be documented, regularly audited, reviewed periodically, and modified whenever necessary. As a general rule, PRPs and hazard control plans are managed separately. However, certain parts of PRPs may sometimes be integrated into a hazard control plan. There are three challenges in PRP development: (1) developing and implementing effective PRPs, (2) maintain- ing the PRPs once they have been implemented, and (3) ensuring that the programs will stand up to auditor scrutiny. Establishing an effective PRP is a good start, but FSMSs that are proscriptive may be too restrictive to be effective. Proper PRP maintenance is often overlooked. In the field, PRPs may appear beautifully designed CHAPTER and written, but they are simply not being followed in FBO operations. FBO operations must match the ­documented procedures. In building PRPs, FBOs should seek to realize the following elements: responsibility, development, documenta- tion, implementation, training, monitoring and recording, verifying and auditing, and reviewing and updating. PRP workbook: Instructions and examples 3 This section offers guidance on the methodology for developing a PRP. The methodology may be applied to any food product, but the examples focus on particular dairy sector PRPs and the related FSMS documenta- tion based on ISO/TS 22002-1. The examples cover the documentation and other steps needed to establish six relevant dairy sector PRPs. The six PRPs are PRP 6: utilities—supply of air, water, and energy; PRP 9: management of purchased materials; PRP 11: cleaning and sanitizing; PRP 12: pest control; PRP 13: personnel hygiene and employee facilities; and PRP 14: rework. The process for each PRP involves the use of up to six work sheets. Although the procedures are broadly the same, instructions on how to fill out the work sheets are supplied for all six PRPs. Complete sample work sheets are also provided in tables for all six PRPs. The section is organized as follows. Each of the six PRPs is the subject of a separate subsection. The subsec- tions consist mainly of the relevant sample work sheets and instructions on how to complete them. Editable work sheets and templates can be found at http://www.ifc.org/foodsafety/handbook/templates. 60  ▪  FOOD SAFETY HANDBOOK PRP 6: Utilities—supply of air, water, and energy WORK SHEET 1: PRP SCOPE Work sheet 1 defines the scope of an FBO PRP. The information on the work sheet needs to be clear, especially in detailing the product or products, including the production lines, that are the subject of the PRP study. The work sheet should also provide information about the individuals making up the study team, along with any revision history of the PRP. The PRP scope work sheet contains five sections (see table 3.1). Instructions for completing these sections are outlined in the box below. Instructions for Completing PRP Work Sheet 1: PRP Scope A. PRP study Provide the PRP title from the standard or scheme (for example, Utilities). scope Provide the standard PRP number (for example, in ISO/TS 22002-1, 6 Utilities—supply of air, water, and energy). Provide the facility name, product category, processes, product, PRP start date, status of the PRP (for example, draft, approved), and end date. 3 B. PRP review In this section, record information about the history of the PRP revision, with an explana- CHAPTER history tion of the reason why this update has been done: “according to plan” or “unscheduled.” For an unscheduled revision, why has this revision been undertaken? (What reason?) C. PRP team For every PRP study, the organization needs to establish an HACCP team with specific members responsibilities and roles. Names within the company, department name, and respon- sibilities should be detailed. The competence of each team member should also be documented. D. Specialist To establish PRP studies, companies may need advice from an outsourced expert (consul- input tant/subject matter expert). The expert’s role should be explained: input/specialist advice. E. Authorization Team members must indicate their approval of the document by providing their names, positions, responsibilities held, and signature. The authorized team member should provide his/her signature and the date signed. ­ Food Safety Tools and Techniques: PRP 6 Utilities—supply of air, water, and energy   ▪  61 Table 3.1  PRP 6, Work Sheet 1: PRP Scope PRP 6 Utilities—supply of air, water, and energy A. PRP study scope Facility Joe Bloggs Dairy Plant Start date February 17, 2019 Product category Grade A Interstate Milk Status Draft Shippers registered whole milk Processes High-temperature/short- End date Ongoing time pasteurizer, aseptic filling, retort Products Grade A aseptically pro-     cessed and packaged milk Notes/reason for Dates of last three B. PRP review history Check as appropriate  unscheduled review reviews New PRP study ¸ Current PRPs underwent CHAPTER a comprehensive review Scheduled review December 20, 2019 for compliance with Unscheduled review ISO/TS 22002-1 and ISO 22000:2018 starting on February 15, 2019, and com- pleted on February 17, 2019. These management sheets 3 describe each PRP in place at the dairy plant facility. C. PRP team members Name Position Department Responsibility/role G Moran Food safety manager Food safety Food safety/quality assurance O Brown Hygienist/microbiologist Food safety Hygienist/microbiologist M Rodrigues Milk processing manager Milk processing Milk processing B Murphy Laboratory manager Quality assurance Laboratory D Small Warehouse manager Warehousing Warehousing O Murphy Engineering manager Engineering Engineering C Flack Factory manager Management Management D. Specialist input Name Location/job title Input/specialist advice Angela Yard Consultant PRP team facilitator E. Authorization Food safety team leader/quality assurance manager Signature: Date: G Moran February 17, 2019 Management team member Signature: Date: C Flack February 17, 2019 62  ▪  FOOD SAFETY HANDBOOK WORK SHEET 2: PRP MANAGEMENT The purpose of this work sheet is to identify and document hazards and to cite the measures needed to control the hazards through relevant PRPs. The work sheet identifies the corrective actions to be taken should hazard levels rise above acceptable limits. It cites the records that need to be kept by FBOs, and the verification procedures required for each PRP. The work sheet consists of 11 columns (see table 3.2). The instructions for completing these sections are outlined in the box directly below and continuing on page 63. Instructions for Completing PRP Work Sheet 2: PRP Management Column A Describe the ISO/TS 22002-1 requirements. Column B Describe the hazard agent, for example, biological (B), chemical (C), physical (P), or a combination. Column C Describe how the hazard is manifest as a threat, including presence, increase, or survival. 3 Column D Describe the cause, origin, condition, source, or vector of a hazard. CHAPTER Column E Describe the control measures the FBO has in place to control relevant hazards. Column F Describe the hazard measurement parameters and the monitoring frequency of the measure- ment parameters. Table 3.2  PRP 6, Work Sheet 2: PRP Management A. PRP (go step-by-step Hazards through ISO/TS 22002-1) C. Presence, growth, D. Origin, cause, F. What is 6 Utilities—supply of air, B. survival, increase, source, vector, monitored and water, and energy Agent(s) contamination condition E. Control measures when 6.1 General B, C, P Contamination Contamination Utilities specifications, Audits/inspection, requirements (see by pathogens for example, air, water, hygiene, cleaning, below) gas sanitization, seg- regation/physical Hygienic design of the breaks between dairy plant circuits ­containing Pathogen monitoring cleaning solutions, procedure temperature and Supplier management pathogen mon- procedure itoring program (each batch, daily, Product inspection weekly) procedure Cleaning/sanitizing awareness training Audits/inspections 6.2 Water supply B Contamination Contamination Water supply Audits/inspections, by pathogens specification temperature and may be intro- pathogen monitor- Supplier certificate of duced from the ing each batch analysis supplier of water (ground, surface) Supplier management program Incoming, in process, and wastewater treat- ment laboratory testing Food Safety Tools and Techniques: PRP 6 Utilities—supply of air, water, and energy   ▪  63 Instructions for Completing PRP Work Sheet 2: PRP Management (continued) Column G Describe the job role or title of the department/function within the FBO responsible for monitoring the relevant hazard measurement parameters. ­ Column H Describe the correction and corrective action aimed at preventing a reoccurrence of a rise above the allowable or permitted hazard measurement parameters. Column I Indicate the monitoring and hazard measurement parameter records to be maintained. CHAPTER Column J monitoring and Describe the verification activities necessary to confirm the accuracy of the ­ hazard measurement parameters. ­ Column K Describe the FBO documents and relevant external documents, for example, s ­ tatutory and ­regulatory requirements. 3 H. Correction/ J. Verification G. Who is responsible corrective action I. Records activities K. Reference documents Dairy plant quality Awareness/training Product inspection Product (water Dairy Plant Layout of Premise assurance/ laboratory ­supply) inspection and Workspace PRP 100% product Audits Dairy plant inspection Supplier manage- Dairy Plant Waste Disposal PRP Good hygiene prac- engineering ment program Product disposal, tices inspections Product Inspection Procedure Dairy plant where relevant Pathogen Pathogen Dairy Plant Audit Procedure maintenance monitoring monitoring Dairy Plant Good Hygiene Dairy plant hygienist/ Chemical residue Awareness/training P ­ ractices Inspection Procedure hygiene team Product spoilage/ Wastewater Dairy Plant Awareness/Train- Cleaning/sanitization disposal treatment ing Procedure operatives Product spoilage/ Dairy Plant Wastewater Treat- disposal ment Monitoring Procedure Dairy Plant Pathogen Monitor- ing Procedure Dairy plant quality Resteril­ization of Audits Water supply Dairy Plant Cleaning and Sani- assurance/laboratory piping, equipment, inspection tizing PRP Good hygiene prac- and containers tices inspections Product disposal Dairy Plant Product Inspection Procedure Awareness/training Dairy Plant Pathogen Monitor- Pathogen ing Procedure monitoring continued 64  ▪  FOOD SAFETY HANDBOOK Table 3.2  PRP 6, Work Sheet 2: PRP Management (Continued) A. PRP (go step-by-step Hazards through ISO/TS 22002-1) C. Presence, growth, D. Origin, cause, F. What is 6 Utilities—supply of air, B. survival, increase, source, vector, monitored and water, and energy Agent(s) contamination condition E. Control measures when 6.2 Water supply C Contamination Cleaning and Maintain proper Audits/inspection (continued) sanitizing solu- separation or physical Segregation or phys- tion residues, break between circuits   ical break between that is, without containing cleaning circuits containing proper separation solutions and contain- cleaning solutions between cleaning ers and pipelines used and containers and and sanitizing to contain product. pipelines used to solutions and Particular attention is contain product product; there needed to assure that could be product the required separation Solution tempera- contamination remains in place during ture, concentra- partial/short/inter- tion, duration of washes completed application, cleaning during an operating day sequence, flow rates, and so on (daily) 3 P None None Not applicable Not applicable CHAPTER 6.3 Boiler chemicals B None None Not applicable Not applicable   C Contamination Boiler additives. Boiler additives Boiler water addi- Some boiler water specification tives (daily/weekly)   compounds used Supplier management in the production program of steam to be used in contact with food or food contact surfaces may contain toxic substances P None None Not applicable Not applicable 6.4 Air quality and B Contamination Contamination Hygienic dairy plant Environment ventilation by pathogens design incorporating pathogen may be intro- heating, ventilation, and monitoring duced into the air air-conditioning system Air filtration supply and may (creation of positive air come in contact pressure zones), air ducts, Air quality with the product air filtration, exhaust Air turns or food contact stacks, intake ducts Cleaning of air surface if nega- Cleaning of air ducts ducts (daily/weekly) tive air pressure in the dairy plant is Air filtration allowed to occur ­Environmental patho- gen monitoring Air testing (past the filtration) C None Not applicable Not applicable Not applicable P None Not applicable Not applicable Not applicable 6.5 Compressed air B Contamination Contamination Specification for the sup- Environment and gases by pathogens ply of compressed air pathogen monitor- may be intro- ing (daily/weekly) Air is drawn from a clean duced into the air area, is filtered at the supply and may intake as needed, and come in contact is provided to the point with the product of use oil free and free of or food contact excess moisture. A final surface filter is provided as near as possible to the point of use to verify these aspects Food Safety Tools and Techniques: PRP 6 Utilities—supply of air, water, and energy   ▪  65 H. Correction/ J. Verification G. Who is responsible corrective action I. Records activities K. Reference documents Dairy plant hygienist/ Awareness/training, Audits Product inspection Dairy Plant Cleaning and Sani- hygiene team product disposal, tizing PRP Good hygiene prac- Product disposal where relevant Cleaning/sanitization tices inspections Dairy Plant Waste Disposal PRP operatives Awareness/training Dairy Plant Awareness/Train- ing Procedure Product spoilage/ disposal CHAPTER Not applicable Not applicable Not applicable Not applicable Not applicable Not applicable Not applicable Not applicable Not applicable Not applicable Quality assurance Return to supplier: Incoming product Incoming product Management of Purchased products that are supplier manage- Materials PRP not to specification ment program Dairy Plant Product Inspection Procedure Dairy Plant Supplier Manage- 3 ment Procedure Not applicable Not applicable Not applicable Not applicable Not applicable Dairy plant quality Product hold/­ Environment patho- Environment patho- Dairy Plant Layout of Premises assurance/laboratory withdrawal/ recall gen monitoring gen monitoring and Workspace PRP (environment patho- Testing of all produc- Heating, ventilation, Dairy Plant Cleaning and gen monitoring/air tion lots and air-­conditioning ­Sanitizing PRP testing) system design/ Implementation of Dairy Plant Environment Dairy plant ­engineering drawings intensive cleaning/ Pathogen Monitoring Program (dairy plant hygienic sanitization Air testing design heating, Dairy Plant Product Inspection ­ventilation, and air-­ Review/revisions of Preventive main- Procedure conditioning system) process controls tenance (filter/ cleaning) Dairy plant mainte- nance (preventive maintenance of filters/ cleaning, or air ducts, and so on) Not applicable Not applicable Not applicable Not applicable Not applicable Not applicable Not applicable Not applicable Not applicable Not applicable Dairy quality assur- Replace compressed Environment patho- Environment patho- Dairy Plant Environment ance laboratory air/filter gen monitoring gen monitoring Suitability, Cleaning, and ­ ­Maintenance PRP Preventive mainte- nance (filter) Dairy Plant Pathogen Monitor- ing Program continued 66  ▪  FOOD SAFETY HANDBOOK Table 3.2  PRP 6, Work Sheet 2: PRP Management (Continued) A. PRP (go step-by-step Hazards through ISO/TS 22002-1) C. Presence, growth, D. Origin, cause, F. What is 6 Utilities—supply of air, B. survival, increase, source, vector, monitored and water, and energy Agent(s) contamination condition E. Control measures when 6.5 Compressed air C Contamination Toxic sub- Specification for the Environment and gases (continued) stances, that is, supply of compressor pathogen monitor- air compressor lubricants (food grade) ing (daily/weekly)   lubricants, may Air is drawn from a be carried over clean area, is filtered at the air and may the intake as needed, be toxic and is provided to the point of use oil free and free of excess moisture. A final filter is provided as near as possible to the point of use to verify these aspects P None Not applicable Not applicable Not applicable 3 6.6 Lighting B Contamination Poor or inade- Hygienic design of the Hygienic design, quate lighting dairy plant light intensity, dirt, CHAPTER   (intensity) may spills, pest (daily/ Throughout the dairy contribute to per- weekly) plant, storage, prepara- sonnel ­applying tion, processing areas poor hygiene are provided with natu- standards and, as ral or artificial lighting a result, mate- (or both). A minimum rial, products, light intensity of 200 or equipment lux is recommended. may become Reference the relevant contaminated national lighting stan- dard for recommended lighting standards. All lights are fitted with light diffusers/covers or shatterproof tubes to facilitate cleaning and to prevent contamina- tion of food C None Not applicable Not applicable Not applicable P Contamination Poor or inade- Hygienic design of the Hygienic design, quate lighting dairy plant; for exam- breakages, and dirt (intensity) may ple, all lights are fitted (daily/weekly) contribute to per- with light diffusers/ sonnel ­applying covers or shatterproof poor hygiene tubes to facilitate clean- standards and, as ing and to prevent con- a result, mate- tamination of food and rial, product, or the premises should equipment may breakage occur become contam- Hygiene inspections to inated, for exam- detect breakages or dirt ple, breakages and/or dirt Food Safety Tools and Techniques: PRP 6 Utilities—supply of air, water, and energy   ▪  67 H. Correction/ J. Verification G. Who is responsible corrective action I. Records activities K. Reference documents Dairy quality assur- Replace compressed Environment patho- Environment patho- Dairy Plant Environment Suit- ance laboratory air filter gen monitoring gen monitoring ability, Cleaning, and Mainte- nance PRP Preventive mainte- nance (filter) Dairy Plant Environment Pathogen Monitoring Program Dairy Plant Preventive Mainte- nance Procedure Not applicable Not applicable Not applicable Not applicable Not applicable CHAPTER Dairy plant engineer- Capital expenditure Capital expenditure Cleaning/sanitizing Dairy Plant Design and Con- ing/food safety (dairy projects (hygiene projects struction of Buildings PRP Good hygiene prac- plant hygienic design) related) Preventive tices inspections, Dairy Plant Site Location and Dairy plant main- Preventive maintenance audits Standards PRP tenance (lighting maintenance Cleaning Dairy Plant Layout of Premises maintenance) Cleaning/sanitiza- and Workspace PRP Good hygiene prac- Cleaning/sanitization tion program tices inspection Dairy Plant Internal Structure program, including 3 PRP spills Dairy Plant Environment Dairy plant hygienist Suitability, Cleaning, and ­ and hygiene team ­Maintenance PRP Preventive Maintenance Procedure Hygiene Procedures Cleaning/Sanitization Procedures Not applicable Not applicable Not applicable Not applicable Not applicable Dairy plant engineer- Capital expenditure Capital expenditure Cleaning/sanitizing Dairy Plant Design and Con- ing/food safety (dairy projects (hygiene projects struction of Buildings PRP Good hygiene prac- plant hygienic design) related) Preventive tices inspection Dairy Plant Site Location and Dairy plant main- Preventive maintenance Standards PRP Audits tenance (lighting maintenance Cleaning/sanitizing Dairy Plant Layout of Premises maintenance) Cleaning/sanitiza- and Workspace PRP Good hygiene prac- Dairy plant hygienist tion program tices inspection Dairy Plant Environment and hygiene team Suitability, Cleaning, and ­ ­Maintenance PRP Dairy Plant Internal Structure PRP Preventive Maintenance Procedure Hygiene Procedures Cleaning/Sanitization Procedures 68  ▪  FOOD SAFETY HANDBOOK WORK SHEET 3: VERIFICATION ACTION PLAN fulfilled. Verification is a confirmation, replete with objective evidence, specifying that requirements have been ­ Original PRP verification is carried out after a PRP has been developed and implemented. Additional planned verifications, at least once a year, and unscheduled verifications are required in the case of alterations in the PRP. An FBO should draw up a verification plan. However, verification may only be carried out by an authorized individual. The FBO must document all verification activities for each PRP. This work sheet (see table 3.3) aids in planning for PRP verification. Instructions for completing the work sheet are outlined in the box directly below. Instructions for Completing PRP Work Sheet 3: Verification Action Plan Column A ­ ecommended The establishment should provide details on the number and title of the PRP. It is r that the number should match the number of the relevant part in the appropriate FSMS scheme standard, for example, in ISO/TS 22002-1, 6 Utilities—supply of air, water, and energy. Column B The establishment should provide details on the verification actions associated with the PRP and on the individual or entity responsible for reviewing these verification actions. 3 CHAPTER Table 3.3  PRP 6, Work Sheet 3: Verification Action Plan A. PRP B. Verification action 6 Utilities—supply of air, water, and energy Reviewed by regulated utilities price plan team Review of referenced documents, for example, PRP-related ­ rocedures and utility specifications p Review of pathogen monitoring records Review of product inspection records Review of records on cleaning/sanitizing Review of preventive maintenance records Review of product spoilage/disposal records Review of rework records Review of awareness/training records Review of consumer complaints FSMS audits Internal good manufacturing practice audits/good hygiene ­practice inspections Frequency and criticality review Food Safety Tools and Techniques: PRP 6 Utilities—supply of air, water, and energy   ▪  69 WORK SHEET 4: PRP MEETING SUMMARY This work sheet is focused on assisting in maintaining records on PRP meetings and any meeting decisions. It consists of seven columns (see table 3.4). The instructions for completing the work sheet are summarized in the box directly below. Instructions for Completing PRP Work Sheet 4: PRP Meeting Summary Column A List meeting dates. Column B List attendees among the team and other invitees. Column C Provide the reason for the meeting. Column D Record decisions and next steps. Column E Identify the individuals or entities responsible for executing any decisions. Column F Record deadlines. Column G Indicate the dates of relevant actions. CHAPTER Table 3.4  PRP 6, Work Sheet 4: PRP Meeting Summary B. D. Outcome E. F. G. Deadline A. Date Participants C. Purpose (decisions/actions) Responsibility Deadline reached April 20, G Moran, Initial PRP Update PRP manage- G Moran to May 15, May 15, 3 2018 O Brown, review ment work sheet complete 2018 2018 M Rodrigues, Review related PRPs verification B White, sheet D ­Collins, O Murphy, C Flack April 28, G Moran, Complete Completed and approved G Moran to May 15, May 15, 2018 O Brown, GAP sheet update PRP 2018 2018 M Rodrigues, Review PRP Reviewed and approved work sheets B White, management D ­Collins, work sheet O Murphy, C Flack February 17, G Moran, Review Complete the update PRP team to February February 17, 2019 O Brown, and update of the water supply complete 17, 2019 2019 M Rodrigues, of utility specification B White, specifications D ­Collins, O Murphy, C Flack February 17, G Moran, Review and The current PRPs under- PRP team to February February 2019 O Brown, update based went comprehensive complete 20, 2019 20, 2019 M Rodrigues, on changes reviews for compliance B White, to ISO with ISO/TS 22002-1 and D ­Collins, 22000:2018 ISO 22000:2018 starting O Murphy, on February 17, 2019, and C Flack completed on February 20, 2019 70  ▪  FOOD SAFETY HANDBOOK WORK SHEET 5: PRP GAP REGISTRATION AND RESOLUTION This work sheet defines gaps between the PRP requirements according to a certain standard or standards, for example, ISO/TS 22002-1, and other requirements with which an FSMS imposes compliance. The work sheet assists in eliminating these gaps. In completing the work sheet, an FBO may rely on different standards and documents to determine PRP requirements, for instance, ISO/TS 22002-1. The standards and documents should correspond with the FSMS requirements with which the particular FBO must engage. The work sheet consists of eight columns (see table 3.5). The instructions for completing the work sheet are summarized in the box directly below. Instructions for Completing PRP Work Sheet 5: PRP Gap Registration and Resolution Column A Provide a description of the FSMS scheme requirement. Column B Provide a description of the requirement arising from the FSMS scheme where the gap exists. Column C Provide a short description of the specific requirement where the gap exists within the FBO. Column D Detail the relevant FSMS policy. 3 Column E Describe the gap. CHAPTER Column F Provide the action to be taken to address the requirement identified as not having been fulfilled. Column G Provide details of the actions taken to address the gap and the date of the completion of the actions. Column H Add any additional relevant comments as required. Table 3.5  PRP 6, Work Sheet 5: PRP Gap Registration and Resolution Fill out this work sheet only if gaps have been identified. A. ISO/TS 22002-1, 6 F. Action plan G. Gap Utilities— D. (including resolution supply of air, B. Description Associated time (actions water, and (of the requirement C. Specific dairy frame for completed, H. energy of the standard) requirement policy E. Gap completion) with date) Comments 6.3 Boiler The provision and Boiler Dairy plant PRP man- All docu- All docu- None chemicals distribution routes chemicals, food safety agement ments to be mented, for utilities to and if used, shall policy work sheet reviewed and reviewed, around processing be approved incomplete, updated prior and and storage areas food related PRPs to next PRP updated; shall be designed to additives and proce- team meeting see PRP minimize the risk of that meet dures to be May 15, 2018 team product contamina- ­relevant reviewed meeting tion. Utility quality additive and shall be monitored specifications updated to minimize the risk of product contamination 6.4 Air The organization Specification Dairy plant Utility Create pres- Air spec- None ­quality shall establish for pressur- food safety specifica- surized air ification and requirements ized air policy tions to be specification completed; ventilation for the filtration, set February 17, see PRP humidity (% relative 2019 team humidity), and meeting microbiology of the air used as an ingre- dient or for direct product contact Food Safety Tools and Techniques: PRP 6 Utilities—supply of air, water, and energy   ▪  71 WORK SHEET 6: HAZARD AGENT The purpose of this work sheet (see table 3.6) is to define a standard classification system for recording haz- ardous agents. The hazardous agents classification system is based on the food and beverage industry hazard- ous agent classification system. The work sheet is supplied for reference and guidance only. The instructions for completing the work sheet are summarized in the box directly below. Instructions for Completing PRP Work Sheet 6: Hazard Agent Column A Classify food safety hazard agents, for example, biological, chemical, or physical hazard agents. Column B Indicate the food safety hazard agent code, for example, allergen = A, biological = B, c ­ hemical = C, physical = P. Table 3.6  PRP 6, Work Sheet 6: Hazard Agent A. Hazardous agents B. Hazard class CHAPTER Biological: vegetative or spores, depending on circumstances B Chemical, such as cleaning chemicals, nonfood-grade lubricants, oils and greases, and C ­chemical residues Physical, such as various types of foreign material, including metal, wood, plastic, or other P foreign bodies 3 Allergens: milk, soy, wheat, eggs, fish, shellfish, tree nuts, peanuts A 72  ▪  FOOD SAFETY HANDBOOK PRP 9: Management of purchased materials Sample completed work sheets for PRP 9 follow (tables 3.7–3.12). For instructions on filling out each PRP work sheet, see the boxes that precede each sample completed work sheet. Instructions for Completing PRP Work Sheet 1: PRP Scope A. PRP study Provide the PRP title from the standard or scheme (for example, Management of scope ­purchased materials). Provide the standard PRP number (for example, in ISO/TS 22002-1, 9—Management of ­purchased materials). Provide the facility name, product category, processes, product, PRP start date, status of the PRP (for example, draft, approved), and end date. B. PRP review In this section, record information about the history of the PRP revision, with an explana- history tion of the reason why this update has been done: “according to plan” or “unscheduled.” For an unscheduled revision, why has this revision been undertaken? (What reason?) C. PRP team For every PRP study, the organization needs to establish an HACCP team with specific 3 members responsibilities and roles. Names within the company, department name, and respon- CHAPTER sibilities should be detailed. The competence of each team member should also be documented. D. Specialist To establish PRP studies, companies may need advice from an outsourced expert (consul- input tant/subject matter expert). The expert’s role should be explained: input/specialist advice. E. Authorization Team members must indicate their approval of the document by providing their names, positions, responsibilities held, and signature. The authorized team member should provide his/her signature and the date signed. ­ Food Safety Tools and Techniques: PRP 9 Management of purchased materials   ▪  73 Table 3.7  PRP 9, Work Sheet 1: PRP Scope PRP 9 Management of purchased materials A. PRP study scope Facility Joe Bloggs Dairy Plant Start date February 17, 2019 Product category Grade A Interstate Milk Shippers Status Draft registered whole milk Processes High-temperature/short-time End date Ongoing pasteurizer, aseptic filling, retort Products Grade A aseptically processed   and packaged milk B. PRP review Notes/reason for Dates of last three history Check as appropriate  unscheduled review reviews New PRP study ¸ Current PRPs underwent a comprehensive review for Scheduled review December 20, 2019 compliance with ISO/TS CHAPTER Unscheduled 22002-1 and ISO 22000:2018 review starting on February 15, 2019, and completed on February 17, 2019. These management sheets describe each PRP in place at the dairy plant facility. C. PRP team members 3 Name Position Department Responsibility/role G Moran Food safety manager Food safety Food safety/quality assurance O Brown Hygienist/microbiologist Food safety Hygienist/ microbiologist M Rodrigues Milk processing manager Milk processing Milk processing B Murphy Laboratory manager Quality assurance Laboratory D Small Warehouse manager Warehousing Warehousing O Murphy Engineering manager Engineering Engineering C Flack Factory manager Management Management D. Specialist input Name Location/job title Input/specialist advice Angela Yard Consultant PRP team facilitator E. Authorization Food safety team leader/quality assurance manager Signature: Date: G Moran February 17, 2019 Management team member Signature: Date: C Flack February 17, 2019 74  ▪  FOOD SAFETY HANDBOOK Instructions for Completing PRP Work Sheet 2: PRP Management Column A Describe the ISO/TS 22002-1 requirements. Column B Describe the hazard agent, for example, biological (B), chemical (C), physical (P), or a combination. Column C Describe how the hazard is manifest as a threat, including presence, increase, or survival. Column D Describe the cause, origin, condition, source, or vector of a hazard. Column E Describe the control measures the FBO has in place to control relevant hazards. Column F Describe the hazard measurement parameters and the monitoring frequency of the measure- ment parameters. Table 3.8  PRP 9, Work Sheet 2: PRP Management 3 Hazards A. PRP (go CHAPTER step-by-step C. Presence, through ISO/ growth, TS 22002-1) 9 survival, Management increase, D. Origin, cause, of purchased B. contamina- source, vector, F. What is monitored materials Agent(s) tion condition E. Control measures and when 9.1 General B, C, P Presence, Supplier manage- Supplier manage- Audits/inspection, requirements (see contamina- ment, hygiene, clean- ment program/ hygiene, cleaning, below) tion ing, sanitization, and procedure, audits/ sanitization, and raw incoming material inspection, hygiene, material monitored inspection in place cleaning, sanitiza- Pathogen, myco- as well as pathogen, tion, and raw mate- toxin, and extra- environmental, and rial monitored neous material extraneous material Pathogen, myco- monitoring program monitoring toxin, and extraneous in place material monitoring program in place Food Safety Tools and Techniques: PRP 9 Management of purchased materials   ▪  75 Instructions for Completing PRP Work Sheet 2: PRP Management (continued) Column G Describe the job role or title of the department/function within the FBO responsible for monitoring the relevant hazard measurement parameters. ­ Column H Describe the correction and corrective action aimed at preventing a reoccurrence of a rise above the allowable or permitted hazard measurement parameters. Column I Indicate the monitoring and hazard measurement parameter records to be maintained. Column J monitoring and Describe the verification activities necessary to confirm the accuracy of the ­ hazard measurement parameters. ­ Column K ­ tatutory and Describe the FBO documents and relevant external documents, for example, s ­regulatory requirements. CHAPTER H. ­Correction/ G. Who is corrective J. Verification responsible action I. Records activities K. Reference documents 3 Dairy plant Awareness/ Various (see Supplier manage- Dairy Plant Supplier Management (see below training below for details) ment program Procedure for details) Cleaning of area Tank truck clean- Dairy Plant Audit Procedure where deviation ing and sanitiza- Dairy Plant Awareness/Training was found tion records Procedure Raw material is Raw milk tem- Dairy Plant Good Hygiene sent back to sup- perature records P ­ ractices Inspection Procedure plier or discarded Raw milk intake if not compliant Dairy Plant Mycotoxin Analysis records Testing Dairy Plant Raw Material ­Handling Procedure Dairy Plant Tank Truck Cleaning and Sanitizing Procedure Dairy Plant Record Control ­Procedure (manifest) Dairy Plant Product Inspection Procedure continued 76  ▪  FOOD SAFETY HANDBOOK Table 3.8  PRP 9, Work Sheet 2: PRP Management (Continued) Hazards A. PRP (go step-by-step C. Presence, through ISO/ growth, TS 22002-1) 9 survival, Management increase, D. Origin, cause, of purchased B. contamina- source, vector, F. What is monitored materials Agent(s) tion condition E. Control measures and when 9.2 Selection B, C, P Presence, Supplier manage- Supplier manage- Audits/inspection, and man- (see contamina- ment, hygiene, clean- ment program/ hygiene, cleaning, agement of below) tion ing, sanitization, and procedure, audits/ sanitization, and raw suppliers incoming material inspection, hygiene, material monitored inspection in place cleaning, sanitiza- Pathogen, myco- as well as pathogen, tion, and raw mate- toxin, and extra- environmental, and rial monitored neous material extraneous material Pathogen, myco- monitoring program monitoring toxin, and extraneous in place 3 material monitoring CHAPTER program in place 9.3 Incom- B Presence Based on scientific Supplier manage- Incoming product ing material studies, vegetative ment program Tank truck clean- requirements pathogens (Brucella Minimize the incom- ing and sanitizing abortus, Campylo- ing bacterial load by records bacter jejuni, Campy- purchasing Grade A lobacter coli, Coxiella Milk temperature listed raw milk and records (each batch) burnetii, pathogenic testing incoming Escherichia coli product 0157:H7, Listeria mono- cytogenes, Mycobac- Verify that tank terium tuberculosis, trucks were cleaned Mycobacterium bovis, and sanitized prior to Salmonella enterica picking up the milk serotypes, Strepto- being unloaded coccus pyogenes, and Milk temperature Yersinia enterocolitica) records from the dairy may be present in raw farm to the dairy milk plant Food Safety Tools and Techniques: PRP 9 Management of purchased materials   ▪  77 H. ­Correction/ G. Who is corrective J. Verification responsible action I. Records activities K. Reference documents Dairy plant Awareness/ Supplier Supplier manage- Dairy Plant Supplier Management (see below training inspections/audits ment program Procedure for details) Cleaning of area Certificate Tank truck clean- Dairy Plant Audit Procedure where deviation of ­analysis ing and sanitiza- Dairy Plant Awareness/Training was found requirements tion records Procedure Raw material is On-site (dairy Raw milk tem- Dairy Plant Good Hygiene sent back to sup- farm) incom- perature records ­ Practices Inspection Procedure plier or discarded ing product Raw milk intake Dairy Plant Mycotoxin Analysis CHAPTER if not compliant specification records Testing Dairy Plant Raw Material ­Handling Procedure Dairy Plant Tank Truck Cleaning and Sanitizing Procedure Dairy Plant Record Control 3 ­Procedure (manifest) Dairy Plant Product Inspection Procedure Dairy plant Pasteurization/ Wash tags Supplier manage- Dairy Plant Environment Suitabil- quality sterilization Plant cleaning ment program ity, Cleaning, and Maintenance assurance/ Investigation Tank truck clean- PRP laboratory Manifest ing and sanitiza- Dairy Plant Supplier Management Dairy plant Quality assur- tion records Procedure truck driver ance/laboratory incoming product Raw milk tem- Dairy Plant Raw Material (cleaning/ perature records ­Handling Procedure sanitiza- tion/milk Raw milk intake Dairy Plant Tank Truck Cleaning temperature) records and Sanitizing Procedure Dairy Plant Record Control ­Procedure (manifest) Dairy Plant Product Inspection Procedure Dairy Farm Hygiene Inspection/ Audit Procedure continued 78  ▪  FOOD SAFETY HANDBOOK Table 3.8  PRP 9, Work Sheet 2: PRP Management (Continued) Hazards A. PRP (go step-by-step C. Presence, through ISO/ growth, TS 22002-1) 9 survival, Management increase, D. Origin, cause, of purchased B. contamina- source, vector, F. What is monitored materials Agent(s) tion condition E. Control measures and when 9.3 Incom- C Presence Presence of therapeu- Supplier manage- Therapeutic drugs/ ing material tic drugs ment program (antibiotics) and requirements Screen all tankers for other residues (each (continued) animal drug residues batch) The dairy plant should also screen for other residues 3 CHAPTER C Presence of Based on historical Supplier manage- AFM1 (­aflatoxin mycotoxins data, mold growth ment program hydroxy­­­­metabolites), in animal feed can Supplier supplied cer- daily analysis contaminate milk tificates of analysis with aflatoxin M1. This is dependent on Periodic quality geographic location, assurance/labora- growing season con- tory testing by the ditions, and so on. dairy plant (ELISA [enzyme-linked immunosorbent assay] screening) C Presence Milk protein is consid- Labeling verification Statutory and regula- ered an allergen procedure tory requirements regarding labeling, as changes occur P Contamina- If dairy cattle are Dairy farm hygiene Dairy farm hygiene tion not kept clean or if practices practices, as per sup- milk is drawn in an Supplier manage- plier management unclean environment ment program program and is not properly Dairy farm inspec- protected, physical Dairy farm inspection during milk collection tions (daily) objects from the dairy farm environment may become incorpo- rated in the raw milk Food Safety Tools and Techniques: PRP 9 Management of purchased materials   ▪  79 H. ­Correction/ G. Who is corrective J. Verification responsible action I. Records activities K. Reference documents Dairy plant Awareness/ Delvo test Milk samples at Dairy Plant Supplier Management quality training Quality assur- the dairy farm Procedure assurance/ Return raw milk ance/laboratory Laboratory Dairy Plant Awareness/Training laboratory to dairy farm or incoming product incoming product Procedure Dairy plant environmental records Dairy Plant Raw Milk Sample truck driver disposal/inves- Procedure (raw milk tigation at dairy samples at farm Dairy Plant Raw Material the dairy ­Handling Procedure CHAPTER farm) Dairy Plant Record Control ­Procedure (manifest) Dairy Plant Product Inspection Procedure Dairy plant Awareness/ ELISA/HPLC (high-​ Screening records Dairy Plant Mycotoxin Analysis quality training performance liquid Testing 3 assurance/ Product with- chromatography) Dairy Plant Product Inspection laboratory drawal by dairy screening Procedure farm/suspend delivery of raw milk from dairy farm Dairy plant Product hold/ Evaluation of Document/record Dairy Plant Evaluation of Compli- marketing withdrawal compliance review ance Procedure Quality Product rework Labeling qual- Dairy Plant Labeling Verification assurance Investigation ity assurance Procedure Food safety verification Consumer alert Dairy farm Consumer Manifest Document/record Dairy Farm Hygiene Inspection/ Dairy plant awareness Quality assurance/ review Audit Procedure quality Refusal to accept laboratory incom- Dairy Plant Supplier Management assurance/ product at source ing product Procedure food safety Supplier manage- Supplier hygiene Dairy Plant Raw Material ment program inspection/audit ­Handling Procedure continued 80  ▪  FOOD SAFETY HANDBOOK Table 3.8  PRP 9, Work Sheet 2: PRP Management (Continued) Hazards A. PRP (go step-by-step C. Presence, through ISO/ growth, TS 22002-1) 9 survival, Management increase, D. Origin, cause, of purchased B. contamina- source, vector, F. What is monitored materials Agent(s) tion condition E. Control measures and when 9.3 Incom- B Presence Based on scientific Supplier manage- Incoming product ing material studies, vegetative ment program, (each batch) requirements pathogens may be for example, sup- (continued) present in ingredients plier certificates of analysis and dairy plant periodic quality assurance/laboratory testing 3 C Contamina- Based on historical Approved packaging Product packag- CHAPTER tion data, adulteration suppliers ing specification with toxic or carcino- Supplier certificates conformity genic chemicals may of analysis Supplier certificates contaminate raw of analysis milk Supplier manage- ment program Period quality assurance/laboratory Packaging testing (each batch) P Contamina- Based on historical Approved packaging Product packag- tion data, foreign mate- suppliers ing specification rials may constitute Supplier certificates conformity food safety hazards of analysis Supplier certificates Supplier manage- of analysis ment program Period quality assurance/laboratory Packaging testing (each batch) Food Safety Tools and Techniques: PRP 9 Management of purchased materials   ▪  81 H. ­Correction/ G. Who is corrective J. Verification responsible action I. Records activities K. Reference documents Dairy farm Refusal to accept Manifest Document/record Dairy Plant Good Hygiene audit product at source Quality assur- review P ­ ractices Inspection Procedure Plant quality Supplier manage- ance/laboratory Dairy Plant Audit Procedure assurance/ ment program incoming product Dairy Plant Supplier Management food safety Supplier good Procedure hygiene practices inspections Audit reports CHAPTER Dairy plant Awareness/ Quality assurance/ Document/record Dairy Plant Product Inspection quality training laboratory incom- review Procedure assurance/ Product hold/ ing product Dairy Plant Awareness/Training food safety return material to Supplier certifi- Procedure supplier cate of analysis Dairy Plant Supplier Management Supplier manage- Supplier Procedure 3 ment program inspection/audit Dairy plant Awareness/ Quality assur- Document/record Dairy Plant Product Specifications quality training ance/laboratory review Dairy Plant Product Inspection assurance/ Product hold/ incoming product Procedure food safety return material to Dairy farm certifi- Dairy Plant Supplier Management supplier cates of analysis Procedure Supplier manage- Dairy farm sup- ment program plier audit 82  ▪  FOOD SAFETY HANDBOOK Instructions for Completing PRP Work Sheet 3: Verification Action Plan Column A ­ ecommended The establishment should provide details on the number and title of the PRP. It is r that the number should match the number of the relevant part in the appropriate FSMS scheme standard, for example, in ISO/TS 22002-1, 9—Management of purchased materials. Column B The establishment should provide details on the verification actions associated with the PRP and on the individual or entity responsible for reviewing these verification actions. Table 3.9  PRP 9, Work Sheet 3: Verification Action Plan A. PRP B. Verification action 9 Management of Review by management of purchased materials by PRP team purchased materials Review of tank truck cleaning and sanitizing records Review of raw milk temperature records Review of manifest records Review of ELISA/HPLC (enzyme-linked immunosorbent assay screening/high-­ 3 performance liquid chromatography) records CHAPTER Review of labeling verification records Review of product inspection records Review of supplier performance records Review of awareness/training records Review of consumer complaints Food safety management system audits Internal GMP audits/good hygiene practices inspections Frequency and criticality review Food Safety Tools and Techniques: PRP 9 Management of purchased materials   ▪  83 Instructions for Completing PRP Work Sheet 4: PRP Meeting Summary Column A List meeting dates. Column B List attendees among the team and other invitees. Column C Provide the reason for the meeting. Column D Record decisions and next steps. Column E Identify the individuals or entities responsible for executing any decisions. Column F Record deadlines. Column G Indicate the dates of relevant actions. Table 3.10  PRP 9, Work Sheet 4: PRP Meeting Summary G. B. D. Outcome E. Respon- F. Deadline CHAPTER A. Date Participants C. Purpose (decisions/actions) sibility Deadline reached February G Moran, Initial review of PRP Update PRP manage- G Moran to May 15, May 15, 17, 2018 O Brown, ment work sheet complete 2018 2018 M Rodrigues, Review related PRPs verification B White, sheet D Collins, O Murphy, C Flack 3 March G Moran, Complete GAP sheet Completed and G Moran to May 15, May 15, 20, 2018 O Brown, approved update PRP 2018 2018 M Rodrigues, Review PRP manage- Reviewed and work sheets B White, ment work sheet approved D Collins, O Murphy, C Flack February G Moran, Review and update Complete update of PRP team February February 15, 2019 O Brown, verification of labeling labeling verification to complete 17, 2019 17, 2019 M Rodrigues, procedure and intro- procedure B White, duction of the manage- Introduce manage- D Collins, ment of inputs (periodic ment of inputs based O Murphy, testing of raw material/ on risk of raw material/ C Flack ingredients/packaging) ingredients/ packaging February G Moran, Review and update Current PRPs under- PRP team February February 17, 2019 O Brown, based on changes to went a comprehensive to complete 20, 2019 20, 2019 M Rodrigues, ISO 22000:2018 review for compliance B White, with ISO/TS 22002-1 D Collins, and ISO 22000:2018 O Murphy, starting on February 17, C Flack 2019, and completed on February 20, 2019 84  ▪  FOOD SAFETY HANDBOOK Instructions for Completing PRP Work Sheet 5: PRP Gap Registration and Resolution Column A Provide a description of the FSMS scheme requirement. Column B Provide a description of the requirement arising from the FSMS scheme where the gap exists. Column C Provide a short description of the specific requirement where the gap exists within the FBO. Column D Detail the relevant FSMS policy. Column E Describe the gap. Column F Provide the action to be taken to address the requirement identified as not having been fulfilled. Column G Provide details of the actions taken to address the gap and the date of the completion of the actions. Column H Add any additional relevant comments as required. Table 3.11  PRP 9, Work Sheet 5: PRP Gap Registration and Resolution 3 Fill out this work sheet only if gaps have been identified. CHAPTER A. Reference B. F. Action guide: ISO/ Description plan G. Gap TS 22002-1 9 (of the (including resolution Management requirement D. time (actions of purchased of the C. Specific Associated frame for completed, H. materials standard) requirement dairy policy E. Gap completion) with date) Comments 9.3 Incoming Materials Management Food safety Reliance Introduce Critical raw Closed material shall be of inputs/ policy 100% on manage- materials, requirements inspected, verification of supplier ment of ingredi- tested, or raw mate- certifi- inputs by ents, and covered by rials, ingre- cates of fourth quar- packaging certificates dients, and analysis ter 2018 verified as of analysis packaging conforming to verify to dairy conformity plant prod- with speci- uct spec- fied require- ifications ments prior by fourth to accep- quarter tance or use. 2018 The method of verifica- tion shall be documented. Food Safety Tools and Techniques: PRP 9 Management of purchased materials   ▪  85 Instructions for Completing PRP Work Sheet 6: Hazard Agent Column A Classify food safety hazard agents, for example, biological, chemical, or physical hazard agents. Column B Indicate the food safety hazard agent code, for example, allergen = A, biological = B, c ­ hemical = C, physical = P. Table 3.12  PRP 9, Work Sheet 6: Hazard Agent A. Hazardous agents B. Hazard class Biological: vegetative or spores, depending on circumstances B Chemical, such as cleaning chemicals, nonfood-grade lubricants, oils and greases, C and chemical residues Physical, such as various types of foreign material, including metal, wood, plastic, P or other foreign bodies Allergens: milk, soy, wheat, eggs, fish, shellfish, tree nuts, peanuts A CHAPTER 3 86  ▪  FOOD SAFETY HANDBOOK PRP 11: Cleaning and sanitizing Sample completed work sheets for PRP 11 follow (tables 3.13–3.18). For instructions on filling out each PRP work sheet, see the boxes that precede each sample completed work sheet. Instructions for Completing PRP Work Sheet 1: PRP Scope A. PRP study Provide the PRP title from the standard or scheme (for example, Cleaning and sanitizing). scope Provide the standard PRP number (for example, in ISO/TS 22002-1, 11—Cleaning and sanitizing). Provide the facility name, product category, processes, product, PRP start date, status of the PRP (for example, draft, approved), and end date. B. PRP review In this section, record information about the history of the PRP revision, with an explana- history tion of the reason why this update has been done: “according to plan” or “unscheduled.” For an unscheduled revision, why has this revision been undertaken? (What reason?) C. PRP team For every PRP study, the organization needs to establish an HACCP team with specific members responsibilities and roles. Names within the company, department name, and responsibili- ties should be detailed. The competence of each team member should also be documented. 3 D. Specialist To establish PRP studies, companies may need advice from an outsourced expert (consul- CHAPTER input tant/subject matter expert). The expert’s role should be explained: input/specialist advice. E. Authorization Team members must indicate their approval of the document by providing their names, positions, responsibilities held, and signature. The authorized team member should provide his/her signature and the date signed. ­ Food Safety Tools and Techniques: PRP 11 Cleaning and sanitizing   ▪  87 Table 3.13  PRP 11, Work Sheet 1: PRP Scope PRP 11 Cleaning and sanitizing A. PRP study scope Facility Joe Bloggs Dairy Plant Start date February 17, 2019 Product category Grade A Interstate Milk Shippers Status Draft registered whole milk Processes High-temperature/short-time End date Ongoing p ­ asteurizer, aseptic filling, retort Products Grade A aseptically processed and     packaged milk Notes/reason for Dates of last three B. PRP review history Check as appropriate unscheduled review reviews New PRP study ¸ Current PRPs underwent a comprehensive review Scheduled review December 20, 2019 for compliance with CHAPTER Unscheduled review ISO/TS 22002-1 and ISO 22000:2018 starting on February 15, 2019, and completed on February 17, 2019. These manage- ment sheets describe each PRP in place at the 3 dairy plant facility. C. PRP team members Name Position Department Responsibility/role G Moran Food safety manager Food safety Food safety/quality assurance O Brown Hygienist/microbiologist Food safety Hygienist/ microbiologist M Rodrigues Milk processing manager Milk processing Milk processing B Murphy Laboratory manager Quality assurance Laboratory D Small Warehouse manager Warehousing Warehousing O Murphy Engineering manager Engineering Engineering C Flack Factory manager Management Management D. Specialist input Name Location/job title Input/specialist advice Angela Yard Consultant PRP team facilitator E. Authorization Food safety team leader/quality Signature: Date: assurance manager G Moran February 17, 2019 Management team member Signature: Date: C Flack February 17, 2019 88  ▪  FOOD SAFETY HANDBOOK Instructions for Completing PRP Work Sheet 2: PRP Management Column A Describe the ISO/TS 22002-1 requirements. Column B Describe the hazard agent, for example, biological (B), chemical (C), physical (P), or a combination. Column C Describe how the hazard is manifest as a threat, including presence, increase, or survival. Column D Describe the cause, origin, condition, source, or vector of a hazard. Column E Describe the control measures the FBO has in place to control relevant hazards. Column F Describe the hazard measurement parameters and the monitoring frequency of the measure- ment parameters. Table 3.14  PRP 11, Work Sheet 2: PRP Management 3 Hazards A. PRP (go step- by-step through C. Presence, D. Origin, CHAPTER ISO/TS 22002-1) growth, sur- cause, source, F. What is 11 Cleaning and B. vival, increase, vector, monitored and sanitizing Agent(s) contamination condition E. Control measures when 11.1 General B, C, P Presence, Contamination Hygiene, cleaning, Pathogen monitor- requirements (see contamination by pathogens sanitization ing (daily) below) Cleaning/sani- Separation between Separation (weekly) tizing solution cleaning and sanitizing Temperature (daily/ residues solution weekly [7 day]) Master cleaning/sanitiz- ing schedule Temperature Food Safety Tools and Techniques: PRP 11 Cleaning and sanitizing   ▪  89 Instructions for Completing PRP Work Sheet 2: PRP Management (continued) Column G Describe the job role or title of the department/function within the FBO responsible for ­ monitoring the relevant hazard measurement parameters. Column H Describe the correction and corrective action aimed at preventing a reoccurrence of a rise above the allowable or permitted hazard measurement parameters. Column I Indicate the monitoring and hazard measurement parameter records to be maintained. Column J monitoring and Describe the verification activities necessary to confirm the accuracy of the ­ ­ hazard measurement parameters. Column K ­ tatutory and Describe the FBO documents and relevant external documents, for example, s ­regulatory requirements. CHAPTER G. Who is H. Correction/ J. Verification responsible corrective action I. Records activities K. Reference documents Quality assurance/ Reclean/sanitize Good hygiene Record review Dairy Plant Environment laboratory Review/update master practices Inspection Suitability, Cleaning, and 3 Cleaning/sanitizing cleaning/sanitizing inspections Maintenance PRP Audit operators schedule or program Audit Dairy Plant Management of Revalidate the Master Purchased Materials PRP ness of the effective­ cleaning/ Dairy Plant Personnel Hygiene cleaning/sanitizing sanitizing and Employee Facilities PRP schedule/program Temperature Utilities PRP Dairy Plant Master Cleaning/ Sanitizing Program/Schedule Dairy Plant Cleaning/Sanitizing Procedures Dairy Plant Awareness and Training Procedure Dairy Plant Product Traceability Procedure Dairy Plant Environmental and Pathogen Monitoring Procedure continued 90  ▪  FOOD SAFETY HANDBOOK Table 3.14  PRP 11, Work Sheet 2: PRP Management (Continued) Hazards A. PRP (go step- by-step through C. Presence, D. Origin, ISO/TS 22002-1) growth, sur- cause, source, F. What is 11 Cleaning and B. vival, increase, vector, monitored and sanitizing Agent(s) contamination condition E. Control measures when 11.2 Cleaning B Presence, Contamination Clean water Pathogen and sanitizing contamination by vegetative Restricted use of condens- ­ m onitoring (daily) agents and pathogens ing water from milk evapo- tools rators and water reclaimed from milk or milk products Training of cleaning/sani- tizing operators Hygienic design/suitabil- ity of tools, for example, brushes used for manual 3 washing are nonabsor- bent, nylon, or plastic bris- CHAPTER tled type and designed not to retain soil, quick to dry Utensils manually cleaned using a two-​ compartment wash and rinse sink Color-coding of tools 5S program (sort, set in order, shine, standardize, sustain), including protect- ing tools once cleaned, for example, stored off the contact floor, protected from splashes following cleaning, and so on C Presence, Without proper Material safety data Toxic residues contamination separation sheets for (chemicals) Alkaline deter- between clean- chlorine/acids used gents/acid cleaner ing and sanitiz- Approved chemicals not mixed ing solutions and products, there Chemical storage Daily/each batch could be product Maintain proper sepa- contamination ration or physical break between circuits contain- ing cleaning solution and vessels and lines used to contain product Manual sanitizing with chemicals to be accom- plished using a third treatment vat, unless heat is used for sanitizing P None       Food Safety Tools and Techniques: PRP 11 Cleaning and sanitizing   ▪  91 G. Who is H. Correction/ J. Verification responsible corrective action I. Records activities K. Reference documents Quality assurance/ Replacement tools Good hygiene Good hygiene Dairy Plant Environment laboratory Retraining, if required practices practices Suitability, Cleaning, and Cleaning/sanitizing Reclean/resanitize inspections inspections Maintenance PRP operators Audits Audit Management of Purchased Milk tank truck Document/ Materials PRP wash tags or record review Utilities PRP logbook Master Cleaning/Sanitizing Manual clean- Program/Schedule ing logbook Cleaning/Sanitizing Procedures CHAPTER Dairy Plant Awareness and Training Procedure Dairy Plant Product Traceability Procedure Dairy Plant Environmental and Pathogen Monitoring Procedure 3 Quality assurance/ Monitoring ­frequency Good hygiene Good hygiene Dairy Plant Environment laboratory review practices practices Suitability, Cleaning, and Cleaning/sanitizing Retraining, if required inspections inspections Maintenance PRP operators Reclean/resanitize Audits Audit Dairy Plant Management of Cleaning/ Document/ Purchased Materials PRP sanitizing record review Dairy Plant Utilities PRP Master Cleaning/Sanitizing Program/Schedule Dairy Plant Cleaning/Sanitizing Procedures Dairy Plant Awareness and Training Procedure Dairy Plant Product Traceability Procedure Dairy Plant Environmental and Pathogen Monitoring Procedure           continued 92  ▪  FOOD SAFETY HANDBOOK Table 3.14  PRP 11, Work Sheet 2: PRP Management (Continued) Hazards A. PRP (go step- by-step through C. Presence, D. Origin, ISO/TS 22002-1) growth, sur- cause, source, F. What is 11 Cleaning and B. vival, increase, vector, monitored and sanitizing Agent(s) contamination condition E. Control measures when 11.3 Cleaning B Presence, Contamination Master Cleaning/ Pathogen moni- and sanitizing contamination by vegetative Sanitizing Program toring (daily) programs pathogens Master Cleaning/ Temperature Sanitizing Schedule (daily/weekly Validated Cleaning/ [7 day]) for milk Sanitizing Program/ storage tanks Schedule (including revalidation) 3 CHAPTER C Presence, Without proper Master Cleaning/ Toxic residues contamination separation Sanitizing Program Alkaline deter- between clean- Master Cleaning/ gents/acid cleaner ing and sanitiz- Sanitizing Schedule not mixed ing solutions and products, Validated Cleaning/ Daily/each batch there could Sanitizing Program/ be product Schedule (including contamination revalidation) P None       11.4 Cleaning- B Presence, Contamination Clean-in-place param- Temperature in-place contamination by pathogens eters, for example, Pathogen systems temperature monitoring Clean-in-place venting door device associated with larger tanks and silos Water characteristics with water hardness exceeding 100 parts per million hardness Food Safety Tools and Techniques: PRP 11 Cleaning and sanitizing   ▪  93 G. Who is H. Correction/ J. Verification responsible corrective action I. Records activities K. Reference documents Hygienist Review/update Good hygiene Good hygiene Dairy Plant Environment Cleaning/ Master Cleaning/ practices practices Suitability, Cleaning, and sanitization Sanitizing Schedule inspections inspections Maintenance PRP or Program Audits Audit Dairy Plant Master Cleaning/ Revalidate the Master Document/ Sanitizing Program/Schedule effectiveness of the Cleaning/ record review Dairy Plant Cleaning/Sanitizing Cleaning/Sanitizing Sanitizing Procedures Schedule/Program Validation/ Dairy Plant Awareness and Revalidation Training Procedure Study Dairy Plant Product Traceability CHAPTER Procedure Dairy Plant Environmental and Pathogen Monitoring Procedure Hygienist Review/update Good hygiene Good hygiene Dairy Plant Environment Cleaning/ Master Cleaning/ practices practices Suitability, Cleaning, and sanitization Sanitizing Schedule inspections inspections Maintenance PRP 3 or Program Audits Audit Dairy Plant Master Cleaning/ Revalidate the Master Document/ Sanitizing Program/Schedule effectiveness of the Cleaning/ record review Dairy Plant Cleaning/Sanitizing Cleaning/Sanitizing Sanitizing Procedures Schedule/Program Validation/ Dairy Plant Awareness and Revalidation Training Procedure Study Dairy Plant Product Traceability Procedure Dairy Plant Environmental and Pathogen Monitoring Procedure           Quality assurance Reclean Clean-in-place Good hygiene Dairy Plant Environment laboratory charts for all practices Suitability, Cleaning, and Cleaning operator dairy plant inspections Maintenance PRP processing Audit Dairy Plant Master Cleaning/ equipment Sanitizing Program/Schedule Document/ record review Dairy Plant Cleaning/Sanitizing Procedures Dairy Plant Awareness and Training Procedure Dairy Plant Product Traceability Procedure Dairy Plant Environmental and Pathogen Monitoring Procedure continued 94  ▪  FOOD SAFETY HANDBOOK Table 3.14  PRP 11, Work Sheet 2: PRP Management (Continued) Hazards A. PRP (go step- by-step through C. Presence, D. Origin, ISO/TS 22002-1) growth, sur- cause, source, F. What is 11 Cleaning and B. vival, increase, vector, monitored and sanitizing Agent(s) contamination condition E. Control measures when 11.4 Cleaning- C Presence, Without proper Clean-in-place param- Chemical type, in-place sys- contamination separation eters, for example, concentration tems (continued) between clean- temperature, type, Contact time and ing and sanitiz- concentration, concen- temperature ing solutions tration time, and so on and products, Clean-in-place venting there could door device associated be product with larger tanks and contamination silos Water characteristics 3 with water hardness exceeding 100 parts per CHAPTER million hardness P None       11.5 Monitoring B Presence, Contamination Master Cleaning/ Pathogen moni- sanitation contamination by pathogens Sanitizing Schedule toring frequency effectiveness Good hygiene practices daily/weekly inspection Audit Pathogen monitoring C Presence, Without proper Master Cleaning/ Chemical type, contamination separation Sanitizing Schedule concentration between clean- Good hygiene practices Contact time and ing and sanitiz- inspection temperature ing solutions and products, Audit there could Pathogen monitoring be product contamination P None       Food Safety Tools and Techniques: PRP 11 Cleaning and sanitizing   ▪  95 G. Who is H. Correction/ J. Verification responsible corrective action I. Records activities K. Reference documents Quality assurance Reclean Clean-in-place Good hygiene Dairy Plant Environment laboratory charts for all practices Suitability, Cleaning, and Cleaning operator dairy plant inspections Maintenance PRP processing Audit Dairy Plant Master Cleaning/ equipment Sanitizing Program/Schedule Document/ record review Dairy Plant Cleaning/Sanitizing Procedures Dairy Plant Awareness and Training Procedure Dairy Plant Product Traceability CHAPTER Procedure Dairy Plant Environmental and Pathogen Monitoring Procedure           Cleaning/sanitiz- Review/update Cleaning/ Good hygiene Dairy Plant Environment ing supervisor Master Cleaning/ sanitizing practices Suitability, Cleaning, and 3 Quality assurance/ Sanitizing Schedule Good hygiene inspections Maintenance PRP laboratory or Program practices Audit Dairy Plant Master Cleaning/ Revalidate the inspections Document/ Sanitizing Program/Schedule effectiveness of the Audits record review Dairy Plant Cleaning/Sanitizing Cleaning/Sanitizing Procedures Schedule/Program Cleaning/ sanitizing Dairy Plant Awareness and validation/ Training Procedure revalidation Dairy Plant Product Traceability Procedure Dairy Plant Environmental and Pathogen Monitoring Procedure Cleaning/sanitiz- Review/update Cleaning/ Good hygiene Dairy Plant Environment ing supervisor Master Cleaning/ sanitizing practices Suitability, Cleaning, and Quality assurance/ Sanitizing Schedule Good hygiene inspections Maintenance PRP laboratory or Program practices Audit Dairy Plant Master Cleaning/ Revalidate the inspections Document/ Sanitizing Program/Schedule effectiveness of the Audits record review Dairy Plant Cleaning/Sanitizing Cleaning/Sanitizing Procedures Schedule/Program Cleaning/ sanitizing Dairy Plant Awareness and validation/ Training Procedure revalidation Dairy Plant Product Traceability Procedure Dairy Plant Environmental and Pathogen Monitoring Procedure           96  ▪  FOOD SAFETY HANDBOOK Instructions for Completing PRP Work Sheet 3: Verification Action Plan Column A ­ ecommended The establishment should provide details on the number and title of the PRP. It is r that the number should match the number of the relevant part in the appropriate FSMS scheme standard, for example, in ISO/TS 22002-1, 11—Cleaning and sanitizing. Column B The establishment should provide details on the verification actions associated with the PRP and on the individual or entity responsible for reviewing these verification actions. Table 3.15  PRP 11, Work Sheet 3: Verification Action Plan A. PRP B. Verification action 11 Cleaning and sanitizing Reviewed by hygienist and cleaning and sanitizing PRP team Review of environment, pathogen, and foreign objects monitoring Review of good hygiene practices inspections 3 Food safety management system audits Internal GMP/hygiene audits CHAPTER Review of chemicals/material safety data sheets and chemical storage Review of cleaning/sanitizing validation/revalidation study Review of traceability Review of training Frequency and criticality review Food Safety Tools and Techniques: PRP 11 Cleaning and sanitizing   ▪  97 Instructions for Completing PRP Work Sheet 4: PRP Meeting Summary Column A List meeting dates. Column B List attendees among the team and other invitees. Column C Provide the reason for the meeting. Column D Record decisions and next steps. Column E Identify the individuals or entities responsible for executing any decisions. Column F Record deadlines. Column G Indicate the dates of relevant actions. Table 3.16  PRP 11, Work Sheet 4: PRP Meeting Summary D. Outcome (decisions/ E. F. G. Deadline A. Date B. Participants C. Purpose actions and time frames) Responsibility Deadline reached CHAPTER April 20, G Moran, Initial review of Update PRP management G Moran to May 15, May 15, 2018 2018 O Brown, PRP work sheet complete veri- 2018 M Rodrigues, fication sheet Review related PRPs B White, D Collins, O Murphy, C Flack 3 April 28, G Moran, Complete GAP Completed and approved G Moran to May 15, May 15, 2018 2018 O Brown, sheet update PRP 2018 M Rodrigues, work sheets Review PRP Reviewed and approved B White, management work D Collins, sheet O Murphy, C Flack Review cleaning/ Appointed designated sanitization revali- person dation study February G Moran, Review of cleaning Reviewed/updated training PRP team to February February 17, 17, 2019 O Brown, tool program and improvements shown complete 17, 2019 2019 M Rodrigues, awareness, for following improved coach- B White, example, 5S ing and supervising by D Collins, program (sort, supervisors O Murphy, set in order, shine, C Flack standardize, sustain), storage, replacement February G Moran, Review and update Current PRPs underwent a PRP team to February February 20, 17, 2019 O Brown, based on changes comprehensive review for complete 20, 2019 2019 M Rodrigues, in ISO 22000:2018 compliance with ISO/TS B White, 22002-1 and ISO 22000:2018 D Collins, starting on February 15, O Murphy, 2019, and completed on C Flack February 20, 2019 98  ▪  FOOD SAFETY HANDBOOK Instructions for Completing PRP Work Sheet 5: PRP Gap Registration and Resolution Column A Provide a description of the FSMS scheme requirement. Column B Provide a description of the requirement arising from the FSMS scheme where the gap exists. Column C Provide a short description of the specific requirement where the gap exists within the FBO. Column D Detail the relevant FSMS policy. Column E Describe the gap. Column F Provide the action to be taken to address the requirement identified as not having been fulfilled. Column G Provide details of the actions taken to address the gap and the date of the completion of the actions. Column H Add any additional relevant comments as required. Table 3.17  PRP 11, Work Sheet 5: PRP Gap Registration and Resolution 3 Fill out this work sheet only if gaps have been identified. CHAPTER F. Action plan G. Gap A. ISO/TS B. Description (including resolution 22002-1, 11 (of the time (actions Cleaning and requirement of C. Specific D. Associated frame for completed, H. sanitizing the standard) requirement dairy policy E. Gap completion) with date) Comments 11.2 Cleaning Tools and Review Food safety Enhance Update Reviewed/ Need to and sanitiz- equipment effectiveness policy awareness awareness/ updated continue ing agents must be of of awareness of 5S (sort, training and awareness/ to monitor and tools hygienic design of the ISO/ set in order, monitoring training for next six and maintained TS 22002-1 shine, effectiveness effective- months in a condition requirement standardize, through ness; see to sustain that does sustain), greater super- PRP team improve- not present storage, tool vision of FBO meeting ments to a potential protection supervisors February 17, date source of extra- procedures 2019 neous matter 11.3 Cleaning Cleaning and Revalidate Food safety Previous vali- Revalidation Review/ Need to and san- sanitizing cleaning/ policy dation study study review/ approved continue itizing programs sanitizing incomplete/ approved revalidation to monitor programs should be validation inadequate study; see for next established and study PRP team 12 months validated by the meeting organization February 17, 2019 Food Safety Tools and Techniques: PRP 11 Cleaning and sanitizing   ▪  99 Instructions for Completing PRP Work Sheet 6: Hazard Agent Column A Classify food safety hazard agents, for example, biological, chemical, or physical hazard agents. Column B Indicate the food safety hazard agent code, for example, allergen = A, biological = B, c ­ hemical = C, physical = P. Table 3.18  PRP 11, Work Sheet 6: Hazard Agent A. Hazardous agents B. Hazard class Biological: vegetative or spores, depending on circumstances B Chemical, such as cleaning chemicals, nonfood-grade lubricants, oils and greases, and C ­chemical residues Physical, such as various types of foreign material, including metal, wood, plastic, or other P foreign bodies Allergens: milk, soy, wheat, egg, fish, shellfish, tree nuts, peanuts A CHAPTER 3 100  ▪  FOOD SAFETY HANDBOOK PRP 12: Pest control Sample completed work sheets for PRP 12 follow (tables 3.19–3.24). For instructions on filling out each PRP work sheet, see the boxes that precede each sample completed work sheet. Instructions for Completing PRP Work Sheet 1: PRP Scope A. PRP study Provide the PRP title from the standard or scheme (for example, Pest control). scope Provide the standard PRP number (for example, in ISO/TS 22002-1, 12—Pest control). Provide the facility name, product category, processes, product, PRP start date, status of the PRP (for example, draft, approved), and end date. B. PRP review In this section, record information about the history of the PRP revision, with an expla- history nation of the reason why this update has been done: “according to plan” or “unscheduled.” For an unscheduled revision, why has this revision been undertaken? (What reason?) C. PRP team For every PRP study, the organization needs to establish an HACCP team with specific members responsibilities and roles. Names within the company, department name, and responsibili- 3 ties should be detailed. The competence of each team member should also be documented. CHAPTER D. Specialist To establish PRP studies, companies may need advice from an outsourced expert (consul- input tant/subject matter expert). The expert’s role should be explained: input/specialist advice. E. Authorization Team members must indicate their approval of the document by providing their names, positions, responsibilities held, and signature. The authorized team member should provide his/her signature and the date signed. ­ Food Safety Tools and Techniques: PRP 12 Pest control   ▪  101 Table 3.19  PRP 12, Work Sheet 1: PRP Scope PRP 12 Pest control A. PRP study scope Facility Joe Bloggs Dairy Plant Start date February 17, 2019 Product category Grade A Interstate Milk Status Draft Shippers registered whole milk Processes High-temperature/short- End date Ongoing time pasteurizer, aseptic filling, retort Products Grade A aseptically pro-     cessed and packaged milk B. PRP review Notes/reason for history Check as appropriate unscheduled review Dates of last three reviews New PRP study ¸ Current PRPs underwent CHAPTER a comprehensive review Scheduled review December 20, 2019 for compliance with Unscheduled review ISO/TS 22002-1 and ISO 22000:2018 starting on February 15, 2019, and com- pleted on February 17, 2019. These management sheets 3 describe each PRP in place at the dairy plant facility. C. PRP team members Name Position Department Responsibility/role G Moran Food safety manager Food safety Food safety/quality assurance O Brown Hygienist/microbiologist Food safety Hygienist/microbiologist M Rodrigues Milk processing manager Milk processing Milk processing B Murphy Laboratory manager Quality assurance Laboratory D Small Warehouse manager Warehousing Warehousing O Murphy Engineering manager Engineering Engineering C Flack Factory manager Management Management D. Specialist input Name Location/job title Input/specialist advice Angela Yard Consultant PRP team facilitator E. Authorization Food safety team leader/quality Signature: Date: ­assurance manager G Moran February 17, 2019 Management team member Signature: Date: C Flack February 17, 2019 102  ▪  FOOD SAFETY HANDBOOK Instructions for Completing PRP Work Sheet 2: PRP Management Column A Describe the ISO/TS 22002-1 requirements. Column B Describe the hazard agent, for example, biological (B), chemical (C), physical (P), or a combination. Column C Describe how the hazard is manifest as a threat, including presence, increase, or survival. Column D Describe the cause, origin, condition, source, or vector of a hazard. Column E Describe the control measures the FBO has in place to control relevant hazards. Column F Describe the hazard measurement parameters and the monitoring frequency of the ­measurement parameters. Table 3.20  PRP 12, Work Sheet 2: PRP Management Hazards 3 C. Presence, D. Origin, growth, sur- cause, CHAPTER vival, increase, source, A. PRP 12 Pest B. contamina- vector, F. What is moni- control Agent(s) tion condition E. Control measures tored and when 12.1 General B Contamination Pests Hygiene, cleaning, and Hygiene, cleaning, requirements incoming material inspection and raw mate- in place as well as pathogen rial monitored and environmental monitoring through good procedures hygiene practices inspections and audits (monthly) Pathogen moni- toring program in place (weekly) Food Safety Tools and Techniques: PRP 12 Pest control   ▪  103 Instructions for Completing PRP Work Sheet 2: PRP Management (continued) Column G Describe the job role or title of the department/function within the FBO responsible for ­ monitoring the relevant hazard measurement parameters. Column H Describe the correction and corrective action aimed at preventing a reoccurrence of a rise above the allowable or permitted hazard measurement parameters. Column I Indicate the monitoring and hazard measurement parameter records to be maintained. Column J monitoring and Describe the verification activities necessary to confirm the accuracy of the ­ ­ hazard measurement parameters. Column K ­ tatutory and Describe the FBO documents and relevant external documents, for example, s ­regulatory requirements. CHAPTER H. ­Correction/ G. Who is corrective J. Verification responsible action I. Records activities K. Reference documents Dairy plant Training Good hygiene Pest Control Dairy Plant Design and Con- quality assurance Cleaning of area practices records no pest struction of Buildings PRP 3 laboratory where deviation inspection activity Dairy Plant Site Location and Dairy plant was found Audit reports Standards PRP sanitization Raw material is Pathogen Dairy Plant Layout of Premises Dairy plant food sent back to sup- monitoring and Workspace PRP safety plier or discarded Raw material Dairy Plant Internal Structure if not compliant monitoring PRP Dairy Plant Environment Suit- ability, Cleaning, and Mainte- nance PRP Raw Material Handling Procedure Dairy Plant Product Inspection Procedure Dairy Plant Cleaning and ­Sanitizing Procedures Dairy Plant Awareness and Training Procedure Dairy Plant Environmental and Pathogen Monitoring Procedure Pest Control Folder/Manual (external pest control company) continued 104  ▪  FOOD SAFETY HANDBOOK Table 3.20  PRP 12, Work Sheet 2: PRP Management (Continued) Hazards C. Presence, D. Origin, growth, sur- cause, vival, increase, source, A. PRP 12 Pest B. contamina- vector, F. What is moni- control Agent(s) tion condition E. Control measures tored and when 12.2 Pest B, C Contamination Pests, Pest control program in place, Pest activity, ­control chemicals outsourced to an external infestation program used company Pest activity is fre- Dairy plant designed site con- quently monitored tact is the sanitizing supervisor according to the Contact person is the dairy Pest Management plant sanitizing supervisor Program Documents and records are with the dairy plant sanitizing 3 supervisor CHAPTER List of approved pesticide chemicals used is available on a USB stick that is with the Pest Management Program folder/ manual The food safety manager approves all dairy plant chemi- cal pesticides 12.3 B, C Contamination Holes, Building maintenance in place Pest activity, ­Preventing cracks, Pest access points are sealed infestation access open Pest activity is fre- doors, All doors to the outside have closures, windows cannot be quently monitored ventilation according to the openings opened, ventilation openings are designed to minimize the Pest Management potential entry of pests Program Dairy plant–approved pesti- cides maintained Material safety data sheets for dairy plant–approved pesti- cides maintained 12.4 B Contamination Raw GMP and good housekeeping Pest activity, ­Harborage material in place throughout the dairy infestation and Bad house- plant Pest activity is fre- infestations keeping Material found to be infested is quently monitored Pallets, separated or discarded according to the and so on Outside space is not used for Pest Management storage Program, monthly pest prevention audit Food Safety Tools and Techniques: PRP 12 Pest control   ▪  105 H. ­Correction/ G. Who is corrective J. Verification responsible action I. Records activities K. Reference documents Dairy plant Contain- Pest manage- Pest Control Dairy Plant Pest Control quality assurance ment during ment service records no pest Program laboratory construction report (external activity Dairy Plant Pest Control Map Dairy plant Eliminate source provider) Pest Control Folder/Manual sanitization of pest entry (external pest control company) Dairy plant food safety CHAPTER 3 Dairy plant quality Closing entry Pest manage- Pest Control Dairy Plant Design and assurance point of pests ment service records no pest ­ onstruction of Buildings PRP C Dairy Plant report (external activity Dairy Plant Site Location and maintenance provider) Standards PRP Dairy plant Dairy Plant Layout of Premises sanitization and Workspace PRP Dairy Plant Internal Structure PRP Dairy Plant Environment ­ Suitability, Cleaning, and ­Maintenance PRP Dairy plant Cleaning of Inspection/audit Pest Control Dairy Plant Raw Material sanitation infested area report records no pest ­Handling Procedure Root cause Training activity Dairy Plant Product Inspection analysis Destruction of Audit Procedure Training nonconforming product continued 106  ▪  FOOD SAFETY HANDBOOK Table 3.20  PRP 12, Work Sheet 2: PRP Management (Continued) Hazards C. Presence, D. Origin, growth, sur- cause, vival, increase, source, A. PRP 12 Pest B. contamina- vector, F. What is moni- control Agent(s) tion condition E. Control measures tored and when 12.5 B Contamination Pests Pest control program in place, Pest activity, ­Monitoring outsourced to an external infestation and detection company Pest activity is fre- Pest Control map of detectors quently monitored and traps included in the Pest according to the Control Folder/Manual Pest Management Detectors and traps conform Program to ISO/TS 22002-1 Detectors and traps are fre- 3 quently inspected according to CHAPTER Pest Management Program 12.6 B, C Contamination Pests Eradication measures shown Pest activity, Eradication in pest management service infestation report Pest activity is fre- Only authorized and trained quently monitored dairy plant personnel handle according to the pesticides Pest Management Records of dairy plant-​ Program approved pesticides are maintained in the pest control service report Food Safety Tools and Techniques: PRP 12 Pest control   ▪  107 H. ­Correction/ G. Who is corrective J. Verification responsible action I. Records activities K. Reference documents Dairy plant Review Pest Pest manage- Pest Control Dairy Plant Pest Control Folder/ sanitization Management ment service records no pest Manual (external pest control Program report activity company) Audit Dairy Plant Environmental and Pathogen Monitoring Procedure Dairy Plant Good Hygiene ­ ractices Inspection Procedure P Dairy Plant Awareness/Training Procedure CHAPTER Dairy plant Review Pest Pest manage- Pest Control Dairy Plant Pest Control Folder/ sanitization Management ment service records no pest Manual (external pest control Dairy plant food Program report activity company) safety Dairy Plant Awareness and 3 Training Procedure 108  ▪  FOOD SAFETY HANDBOOK Instructions for Completing PRP Work Sheet 3: Verification Action Plan Column A ­ ecommended The establishment should provide details on the number and title of the PRP. It is r that the number should match the number of the relevant part in the appropriate FSMS scheme standard, for example, in ISO/TS 22002-1, 12—Pest control. Column B The establishment should provide details on the verification actions associated with the PRP and on the individual or entity responsible for reviewing these verification actions. Table 3.21  PRP 12, Work Sheet 3: Verification Action Plan A. PRP B. Verification action 12 Pest control Reviewed by the laboratory manager and PRP pest control team Review of pest sighting log Review of pest management service reports Food safety management system audits 3 Internal GMP/hygiene audits CHAPTER Review of approved chemical pesticide Review of material safety data sheets Frequency and criticality review Food Safety Tools and Techniques: PRP 12 Pest control   ▪  109 Instructions for Completing PRP Work Sheet 4: PRP Meeting Summary Column A List meeting dates. Column B List attendees among the team and other invitees. Column C Provide the reason for the meeting. Column D Record decisions and next steps. Column E Identify the individuals or entities responsible for executing any decisions. Column F Record deadlines. Column G Indicate the dates of relevant actions. Table 3.22  PRP 12, Work Sheet 4: PRP Meeting Summary G. D. Outcome E. F. Deadline CHAPTER A. Date B. Participants C. Purpose (decisions/actions) Responsibility Deadline reached April 20, G Moran, Initial review of Update PRP management G Moran to May 15, May 15, 2018 O Brown, PRP work sheet complete 2018 2018 M Rodrigues, verification Review related PRPs B White, sheet D Collins, O Murphy, C Flack 3 April 28, G Moran, Complete GAP Completed and approved G Moran to May 15, May 15, 2018 O Brown, sheet update PRP 2018 2018 M Rodrigues, Reviewed and approved work sheets B White, Review PRP D Collins, management work Appointed designated O Murphy, sheet person C Flack Appoint designated person February G Moran, Review pesticide Reviewed/approved PRP team to February February 17, 2019 O Brown, chemicals and ­pesticide chemical complete 17, 2019 17, 2019 M Rodrigues, material safety specification B White, data sheets D Collins, Updated material safety O Murphy, data sheets folder C Flack February G Moran, Review and update Current PRPs under- PRP team to February February 17, 2019 O Brown, based on changes went a comprehensive complete 20, 2019 20, 2019 M Rodrigues, in ISO 22000:2018 review for compliance B White, with ISO/TS 22002-1 D Collins, and ISO 22000:2018 O Murphy, starting on February 15, C Flack completed on 2019, and ­ February 20, 2019 110  ▪  FOOD SAFETY HANDBOOK Instructions for Completing PRP Work Sheet 5: PRP Gap Registration and Resolution Column A Provide a description of the FSMS scheme requirement. Column B Provide a description of the requirement arising from the FSMS scheme where the gap exists. Column C Provide a short description of the specific requirement where the gap exists within the FBO. Column D Detail the relevant FSMS policy. Column E Describe the gap. Column F Provide the action to be taken to address the requirement identified as not having been fulfilled. Column G Provide details of the actions taken to address the gap and the date of the completion of the actions. Column H Add any additional relevant comments as required. Table 3.23  PRP 12, Work Sheet 5: PRP Gap Registration and Resolution 3 Fill out this work sheet only if gaps have been identified. CHAPTER A. ISO/ F. Action plan G. Gap TS B. Description D. (including resolution 22002-1, (of the Associated time (actions 12 Pest requirement of C. Specific dairy frame for completed, H. control the standard) requirement policy E. Gap completion) with date) Comments 12.2 Pest The establish- Nominated Food safety No Agree to Nominated Dairy plant control ment shall person to policy clear nominated person sanitizing programs have a nomi- manage desig- person appointed; supervisor nated person pest control nated by next see PRP appointed to manage pest activities person PRP team team designated control activ- meeting meeting person ities and deal May 15, 2018 with appointed expert contractors Food Safety Tools and Techniques: PRP 12 Pest control   ▪  111 Instructions for Completing PRP Work Sheet 6: Hazard Agent Column A Classify food safety hazard agents, for example, biological, chemical, or physical hazard agents. Column B Indicate the food safety hazard agent code, for example, allergen = A, biological = B, c ­ hemical = C, physical = P. Table 3.24  PRP 12, Work Sheet 6: Hazard Agent A. Hazardous agents B. Hazard class Biological: vegetative or spores, depending on circumstances B Chemical, such as cleaning chemicals, nonfood-grade lubricants, oils and greases, C and chemical residues Physical, such as various types of foreign material, including metal, wood, plastic, or P other foreign bodies CHAPTER Allergens: milk, soy, wheat, eggs, fish, shellfish, tree nuts, peanuts A 3 112  ▪  FOOD SAFETY HANDBOOK PRP 13: Personnel hygiene and employee facilities Sample completed work sheets for PRP 13 follow (tables 3.25–3.30). For instructions on filling out each PRP work sheet, see the boxes that precede each sample completed work sheet. Instructions for Completing PRP Work Sheet 1: PRP Scope A. PRP study Provide the PRP title from the standard or scheme (for example, Personnel hygiene and scope employee facilities). Provide the standard PRP number (for example, in ISO/TS 22002-1, 13—Personnel hygiene and employee facilities). Provide the facility name, product category, processes, product, PRP start date, status of the PRP (for example, draft, approved), and end date. B. PRP review In this section, record information about the history of the PRP revision, with an explana- history tion of the reason why this update has been done: “according to plan” or “unscheduled.” For an unscheduled revision, why has this revision been undertaken? (What reason?) C. PRP team For every PRP study, the organization needs to establish an HACCP team with specific 3 members responsibilities and roles. Names within the company, department name, and respon- CHAPTER sibilities should be detailed. The competence of each team member should also be documented. D. Specialist To establish PRP studies, companies may need advice from an outsourced expert (consul- input tant/subject matter expert). The expert’s role should be explained: input/specialist advice. E. Authorization Team members must indicate their approval of the document by providing their names, positions, responsibilities held, and signature. The authorized team member should pro- vide his/her signature and the date signed. Food Safety Tools and Techniques: PRP 13 Personnel hygiene and employee facilities   ▪  113 Table 3.25  PRP 13, Work Sheet 1: PRP Scope PRP 13 Personnel hygiene and employee facilities A. PRP study scope Facility Joe Bloggs Dairy Plant Start date February 17, 2019 Product category Grade A Interstate Milk Status Draft Shippers registered whole milk Processes High-temperature/short- End date Ongoing time pasteurizer, aseptic filling, retort Products Grade A aseptically pro- cessed and packaged milk B. PRP review Notes/reason for unscheduled Dates of last three history Check as appropriate review reviews New PRP study ¸ Current PRPs underwent a compre- CHAPTER hensive review for compliance with Scheduled review December 20, 2019 ISO/TS 22002-1 and ISO 22000:2018 Unscheduled starting on February 15, 2019, and review completed on February 17, 2019. These management sheets describe each PRP in place at the dairy plant facility. 3 C. PRP team members Name Position Department Responsibility/role G Moran Food safety manager Food safety Food safety/quality assurance O Brown Hygienist/microbiologist Food safety Hygienist/ microbiologist M Rodrigues Milk processing manager Milk processing Milk processing B Murphy Laboratory manager Quality assurance Laboratory D Small Warehouse manager Warehousing Warehousing O Murphy Engineering manager Engineering Engineering C Flack Factory manager Management Management D. Specialist input Name Location/job title Input/specialist advice Angela Yard Consultant PRP team facilitator E. Authorization Food safety team leader/quality Signature: Date: assurance manager G Moran February 17, 2019 Management team member Signature: Date: C Flack February 17, 2019 114  ▪  FOOD SAFETY HANDBOOK Instructions for Completing PRP Work Sheet 2: PRP Management Column A Describe the ISO/TS 22002-1 requirements. Column B Describe the hazard agent, for example, biological (B), chemical (C), physical (P), or a combination. Column C Describe how the hazard is manifest as a threat, including presence, increase, or survival. Column D Describe the cause, origin, condition, source, or vector of a hazard. Column E Describe the control measures the FBO has in place to control relevant hazards. Column F Describe the hazard measurement parameters and the monitoring frequency of the measure- ment parameters. Table 3.26  PRP 13, Work Sheet 2: PRP Management A. PRP (go step- Hazards 3 by-step through ISO/TS 22002-1) 13 C. Presence, CHAPTER Personnel hygiene growth, sur- D. Origin, cause, F. What is and employee B. vival, increase, source, vector, monitored facilities Agent(s) contamination condition E. Control measures and when 13.1 General B, C, P Presence, Contamination Dairy plant hygiene policy Pathogen requirements (see contamination by pathogens monitoring, Dairy plant hygiene awareness below) daily Contamination and training by cleaning Good and sanitizing hygiene prac- residues tices, weekly Contamination by extraneous material 13.2 Personnel B Presence, Contamination Provision of personnel hygiene Pathogen hygiene facili- contamination by vegetative facilities monitoring, ties and toilets pathogens daily Hygienic design of personnel hygiene facilities Cleaning/­ sanitizing, Location and cleaning/main- daily tenance of ­ personnel hygiene facilities Temperature of water Maintenance, weekly Supply of soap and/or sanitizer Food Safety Tools and Techniques: PRP 13 Personnel hygiene and employee facilities   ▪  115 Instructions for Completing PRP Work Sheet 2: PRP Management (continued) Column G Describe the job role or title of the department/function within the FBO responsible for ­ monitoring the relevant hazard measurement parameters. Column H Describe the correction and corrective action aimed at preventing a reoccurrence of a rise above the allowable or permitted hazard measurement parameters. Column I Indicate the monitoring and hazard measurement parameter records to be maintained. Column J monitoring and Describe the verification activities necessary to confirm the accuracy of the ­ hazard measurement parameters. ­ Column K ­ tatutory and Describe the FBO documents and relevant external documents, for example, s ­regulatory requirements. CHAPTER H. Correction/ G. Who is corrective J. Verification responsible action I. Records activities K. Reference documents All personnel Pathogen Personnel Good hygiene Dairy Plant Measures for Prevention of Cross monitoring hygiene practices Contamination PRP Hygienist 3 inspections Dairy Plant Hygiene Policy Retraining, if Good hygiene Quality required practices Audit Dairy Plant Cleaning/Sanitizing Procedures assurance/ inspections laboratory Disciplinary Document/ Dairy Plant Awareness and Training action, if Audits record review Procedure required Pathogen Dairy Plant Environmental and Pathogen monitoring Monitoring Procedure Facilities Preventive Good hygiene Good hygiene Dairy Plant Measures for Prevention of Cross management maintenance practices practices Contamination PRP inspections inspections Dairy Plant Construction and Layout of Hygienist Retraining, if required Audits Audit Building PRP Quality assurance/ Reclean/ Personnel Document/ Dairy Plant Environment Suitability, laboratory resanitize hygiene facil- record review Cleaning, and Maintenance PRP ities cleaning Dairy Plant Management of Purchased Cleaning logbook Materials PRP ­operators/ service Dairy Plant Utilities PRP providers Dairy Plant Cleaning/Sanitizing Procedures Maintenance Dairy Plant Awareness and Training Procedure Dairy Plant Product Traceability Procedure Dairy Plant Environmental and Pathogen Monitoring Procedure continued 116  ▪  FOOD SAFETY HANDBOOK Table 3.26  PRP 13, Work Sheet 2: PRP Management (Continued) A. PRP (go step- Hazards by-step through ISO/TS 22002-1) 13 C. Presence, Personnel hygiene growth, sur- D. Origin, cause, F. What is and employee B. vival, increase, source, vector, monitored facilities Agent(s) contamination condition E. Control measures and when 13.2 Personnel C Presence, Cleaning and Material safety data sheets Toxic hygiene facili- contamination sanitizing solu- for cleaning and/or sanitizing ­residues, ties and toilets tion residues chemicals daily/weekly (continued) Approved cleaning and sanitizing chemicals Chemical storage 3 CHAPTER P Presence, Extraneous Preventive maintenance Maintenance contamination material arising Cleaning log Cleaning from poor per- daily/weekly sonnel facility maintenance and/or cleaning, for example, paint Food Safety Tools and Techniques: PRP 13 Personnel hygiene and employee facilities   ▪  117 H. Correction/ G. Who is corrective J. Verification responsible action I. Records activities K. Reference documents Quality Environmental Good hygiene Good hygiene Dairy Plant Measures for Prevention of Cross assurance/ monitoring fre- practices practices Contamination PRP laboratory quency review inspections inspections Dairy Plant Construction and Layout of Sanitizing Quality assur- Audits Audit Building PRP operators ance training, if Cleaning/ Document/ Dairy Plant Environment Suitability, required Cleaning sanitizing record review Cleaning, and Maintenance PRP service Reclean/ Dairy Plant Management of Purchased providers resanitize Materials PRP Dairy Plant Utilities PRP CHAPTER Dairy Plant Cleaning/Sanitizing Procedures Dairy Plant Awareness and Training Procedure Dairy Plant Product Traceability Procedure Dairy Plant Environmental and Pathogen 3 Monitoring Procedure Maintenance Quality assur- Good hygiene Good hygiene Dairy Plant Construction and Layout of ance training, if practices practices Building PRP Cleaning required inspections inspections ­service provider Dairy Plant Environment Suitability, Reclean/ Audits Audit Cleaning, and Maintenance PRP resanitize Cleaning/ Document/ Dairy Plant Management of Purchased sanitizing record review Materials PRP Maintenance Dairy Plant Utilities PRP Dairy Plant Cleaning/Sanitizing Procedures Dairy Plant Awareness and Training Procedure Dairy Plant Product Traceability Procedure Dairy Plant Environmental and Pathogen Monitoring Procedure continued 118  ▪  FOOD SAFETY HANDBOOK Table 3.26  PRP 13, Work Sheet 2: PRP Management (Continued) A. PRP (go step- Hazards by-step through ISO/TS 22002-1) 13 C. Presence, Personnel hygiene growth, sur- D. Origin, cause, F. What is and employee B. vival, increase, source, vector, monitored facilities Agent(s) contamination condition E. Control measures and when 13.3 Staff B Presence, Contamination Hygienic storage of prepared food Cleaning/­ ­canteens and contamination by vegetative sanitizing, Cooking and holding designated pathogens daily temperatures ­eating areas Pathogen monitoring, daily Temperature and time limitations, 3 daily CHAPTER C Presence, Cleaning and Material safety data sheets Toxic resi- contamination sanitizing solu- for cleaning and/or sanitizing dues, daily/ tion residues chemicals weekly Approved cleaning and sanitizing chemicals Chemical storage P Presence, Extraneous Preventive maintenance Maintenance contamination material arising Cleaning log Cleaning, from poor per- daily/weekly sonnel facility maintenance and/or cleaning, for example, paint 13.4 Workwear B Presence, Contamination Personal hygiene policy (hair, dirt, Temperature and protective contamination by pathogens personnel perspiration, and so on) Pathogen clothing Glove use, where Hair restraints/beard snoods monitoring specified Dedicated dairy plant footwear Improper Properly maintained food foamers footwear Specification for laundering of uniforms/lab coats Adequate supply of laundered uni- forms/lab coats Lockers provided for uniform storage Clean uniforms to be worn Food Safety Tools and Techniques: PRP 13 Personnel hygiene and employee facilities   ▪  119 H. Correction/ G. Who is corrective J. Verification responsible action I. Records activities K. Reference documents Hygienist Cleaning/ Good hygiene Good hygiene Dairy Plant Environment Suitability, sanitizing practices practices Cleaning, and Maintenance PRP Canteen staff schedule/ inspections inspections Dairy Plant Cleaning/Sanitizing Procedures program Audits Audit Dairy Plant Awareness and Training Ingredient/ Environmental Document/ Procedure product and pathogen record review disposal Dairy Plant Environmental and Pathogen monitoring Monitoring Procedure Cleaning/ sanitizing CHAPTER Cooking and holding temperature Waste disposal Quality Environmental Good hygiene Good hygiene Dairy Plant Environment Suitability, assurance/ monitoring fre- practices practices Cleaning, and Maintenance PRP 3 laboratory quency review inspections inspections Dairy Plant Cleaning/Sanitizing Procedures Sanitizing Quality assur- Audits Audit Dairy Plant Awareness and Training operators ance training, if Cleaning/ Document/ Procedure required Cleaning sanitizing record review Dairy Plant Environmental Monitoring ­service Reclean/ Procedure providers resanitize Maintenance Quality assur- Good hygiene Good hygiene Dairy Plant Environment Suitability, Cleaning, ance training, if practices practices and Maintenance PRP Cleaning required inspections inspections Dairy Plant Cleaning/Sanitizing Procedures ­service provider Reclean/ Audits Audit Dairy Plant Awareness and Training resanitize Procedure Cleaning/ Document/ sanitizing record review Maintenance Quality Reclean Clean-in-place Good hygiene Dairy Plant Measures for Prevention of Cross assurance charts for all practices Contamination PRP laboratory dairy plant inspections Dairy Plant Construction and Layout of processing Building PRP Cleaning Audit equipment operator Dairy Plant Environment Suitability, Document/ record review Cleaning, and Maintenance PRP Dairy Plant Management of Purchased Materials PRP Dairy Plant Personal Hygiene Policy Dairy Plant Awareness and Training Procedure continued 120  ▪  FOOD SAFETY HANDBOOK Table 3.26  PRP 13, Work Sheet 2: PRP Management (Continued) A. PRP (go step- Hazards by-step through ISO/TS 22002-1) 13 C. Presence, Personnel hygiene growth, sur- D. Origin, cause, F. What is and employee B. vival, increase, source, vector, monitored facilities Agent(s) contamination condition E. Control measures and when 13.4 Workwear C None       and ­protective P Presence, Extraneous Personal hygiene policy (jewelry, Good clothing contamination material arising fingernails, pens, and so on) hygiene prac- (continued) from personnel tices, daily jewelry, false fingernails, fingernail polish, buttons, pens, and so on 3 13.5 Health B Presence, Contamination Dairy plant personal hygiene Personnel status contamination by pathogens policy health status CHAPTER because of per- Dairy plant hygiene awareness Pathogen sonnel ill health, and training monitoring minor cuts, frequency, or infectious Supervisor notification daily/weekly disease Glove use after minor cuts and handwashing Personnel prohibition to work handling food products C None       P Presence, Contamination Use of Band-Aids reported to Use of contamination from Band-Aid/ management Band-Aids, if plaster allowed 13.6 Illness and B Presence, Contamination Dairy plant personal hygiene Personnel injuries contamination by pathogens policy health status because of per- Dairy plant hygiene awareness Pathogen sonnel injury on and training monitoring hands and lower frequency, portions of the Supervisor notification daily/weekly arms Glove use after minor cuts and handwashing Personnel prohibition to work handling food products C None       Food Safety Tools and Techniques: PRP 13 Personnel hygiene and employee facilities   ▪  121 H. Correction/ G. Who is corrective J. Verification responsible action I. Records activities K. Reference documents           All personnel, Retraining, if Good hygiene Good hygiene Dairy Plant Personal Hygiene Policy including required practices practices Dairy Plant Awareness and Training visitors and inspections inspections Disciplinary Procedure contractors action, if Audits Audit required Cleaning/ Document/ sanitizing record review Maintenance CHAPTER All personnel Personnel Personnel Good hygiene Dairy Plant Measures for Prevention of Cross prohibition to hygiene/health practices Contamination PRP Hygienist work handling inspections Good hygiene Dairy Plant Personal Hygiene Policy Medical health food products practices Audit nurse, if Dairy Plant Cleaning/Sanitizing Procedures inspections available Document/ Dairy Plant Awareness and Training Audits record review Procedure 3 Pathogen Dairy Plant Product Traceability Procedure monitoring Dairy Plant Environmental and Pathogen Monitoring Procedure           Food safety Use of gloves Band-Aids use Good hygiene Dairy Plant Personal Hygiene Policy manager practices Dairy Plant Awareness and Training inspections Procedure Audit Document/ record review All personnel Personnel Personnel Good hygiene Dairy Plant Measures for Prevention of Cross prohibition to hygiene/health practices Contamination PRP Hygienist work handling inspections Good hygiene Dairy Plant Personal Hygiene Policy Medical health food products practices Audit nurse, if Dairy Plant Awareness and Training inspections available Document/ Procedure Audits record review Dairy Plant Environmental and Pathogen Pathogen Monitoring Procedure monitoring           continued 122  ▪  FOOD SAFETY HANDBOOK Table 3.26  PRP 13, Work Sheet 2: PRP Management (Continued) A. PRP (go step- Hazards by-step through ISO/TS 22002-1) 13 C. Presence, Personnel hygiene growth, sur- D. Origin, cause, F. What is and employee B. vival, increase, source, vector, monitored facilities Agent(s) contamination condition E. Control measures and when 13.6 Illness P Presence, Contamination Use of Band-Aids reported to Use of and injuries contamination from Band-Aid/ management Band-Aids, if (continued) plaster allowed 13.7 Personal B Presence, Contamination Dairy plant personal hygiene Pathogen cleanliness contamination by pathogens policy monitoring because of lack frequency Dairy plant hygiene awareness 3 of personal and training Good hygiene by CHAPTER hygiene personnel Gloves, where required practices inspections/ observa- tions, daily/ weekly C None       P None       13.8 Personal B Presence, Contamination Dairy plant personal hygiene Pathogen behavior contamination by pathogens policy monitoring frequency, awareness Dairy plant hygiene ­ daily/weekly and training Gloves, where required P None       P Presence, Extraneous Dairy plant personal hygiene Good contamination material arising policy hygiene prac- from person- tices, weekly Dairy plant smoking policy nel behavior, for example, Dairy plant hygiene awareness smoking, and training chewing gum, Designed areas for storing smok- jewelry, pens ing materials, medicines exposed, false nails, eyelashes, Maintenance of personal lockers medicines, and (cleaned and kept free of soiled so on clothing, storage of religious/­ cultural objects, and so on); personal effects Handwashing signs Food Safety Tools and Techniques: PRP 13 Personnel hygiene and employee facilities   ▪  123 H. Correction/ G. Who is corrective J. Verification responsible action I. Records activities K. Reference documents Food safety Use of gloves Band-Aid use Good hygiene Dairy Plant Personal Hygiene Policy manager practices Dairy Plant Awareness and Training inspections Procedure Audit Document/ record review All personnel Pathogen Personnel Good hygiene Dairy Plant Measures for Prevention of Cross monitoring hygiene practices Contamination PRP Hygienist inspections Quality assur- Good hygiene Dairy Plant Personal Hygiene Policy CHAPTER Quality ance training, practices Audit assurance/ Dairy Plant Awareness and Training if required inspections laboratory Document/ Procedure Disciplinary Audits record review Dairy Plant Environmental and Pathogen action, if Pathogen Monitoring Procedure required monitoring 3                     Cleaning/ Pathogen Personnel Good hygiene Dairy Plant Measures for Prevention of Cross sanitizing monitoring hygiene practices Contamination PRP supervisor inspections Quality assur- Good hygiene Dairy Plant Personal Hygiene Policy Quality ance training, practices Audit Dairy Plant Awareness and Training assurance/ if required inspections Document/ Procedure laboratory Disciplinary Audits record review Dairy Plant Environmental and Pathogen action, if Pathogen Monitoring Procedure required monitoring           All personnel Pathogen Personnel Good hygiene Dairy Plant Measures for Prevention of Cross monitoring hygiene practices Contamination PRP Hygienist inspections Quality assur- Good hygiene Dairy Plant Environment Suitability, Quality ance training, practices Audit Cleaning, and Maintenance PRP assurance/ if required inspections laboratory Document/ Dairy Plant Personal Hygiene Policy Disciplinary Audits record review Dairy Plant Smoking Policy action, if Pathogen required Dairy Plant Awareness and Training monitoring Procedure Dairy Plant Environmental and Pathogen Monitoring Procedure 124  ▪  FOOD SAFETY HANDBOOK Instructions for Completing PRP Work Sheet 3: Verification Action Plan Column A ­ ecommended The establishment should provide details on the number and title of the PRP. It is r that the number should match the number of the relevant part in the appropriate FSMS scheme standard, for example, in ISO/TS 22002-1, 13—Personnel hygiene and employee facilities. Column B The establishment should provide details on the verification actions associated with the PRP and on the individual or entity responsible for reviewing these verification actions. Table 3.27  PRP 13, Work Sheet 3: Verification Action Plan A. PRP B. Verification action 13 Personnel hygiene and employee Reviewed by hygienist and personnel hygiene PRP team facilities Review of environment, pathogen, and foreign objects monitoring Review of good hygiene practices inspections Food safety management system audits 3 Internal GMP/hygiene audits CHAPTER Review of visitors/contractors hygiene Review of personal hygiene Review of personal protective equipment/workwear Review of employee prohibition to work (under special conditions) Review of training Frequency and criticality review Food Safety Tools and Techniques: PRP 13 Personnel hygiene and employee facilities   ▪  125 Instructions for Completing PRP Work Sheet 4: PRP Meeting Summary Column A List meeting dates. Column B List attendees among the team and other invitees. Column C Provide the reason for the meeting. Column D Record decisions and next steps. Column E Identify the individuals or entities responsible for executing any decisions. Column F Record deadlines. Column G Indicate the dates of relevant actions. Table 3.28  PRP 13, Work Sheet 4: PRP Meeting Summary G. D. Outcome E. F. Deadline CHAPTER A. Date B. Participants C. Purpose (decisions/actions) Responsibility Deadline reached April 20, G Moran, Initial PRP Update PRP man- G Moran to May 15, May 15, 2018 O Brown, review agement work sheet complete verifi- 2018 2018 M Rodrigues, cation sheet Review related PRPs B White, D Collins, O Murphy, 3 C Flack April 28, G Moran, Complete Completed and G Moran to May 15, May 15, 2018 O Brown, GAP sheet approved update PRP 2018 2018 M Rodrigues, work sheets Review PRP Reviewed and B White, management approved D Collins, work sheet O Murphy, C Flack February G Moran, Review Complete the PRP team to February February 17, 17, 2019 O Brown, and update update of the water complete 17, 2019 2019 M Rodrigues, of utility supply specification B White, specifications D Collins, O Murphy, C Flack February G Moran, Review and The current PRPs PRP team to February February 17, 2019 O Brown, update based underwent compre- complete 20, 2019 20, 2019 M Rodrigues, on changes hensive reviews of B White, to ISO compliance with ISO/ D Collins, 22000:2018 TS 22002-1 and ISO O Murphy, 22000:2018 starting C Flack on February 17, 2019, and completed on February 20, 2019 126  ▪  FOOD SAFETY HANDBOOK Instructions for Completing PRP Work Sheet 5: PRP Gap Registration and Resolution Column A Provide a description of the FSMS scheme requirement. Column B Provide a description of the requirement arising from the FSMS scheme where the gap exists. Column C Provide a short description of the specific requirement where the gap exists within the FBO. Column D Detail the relevant FSMS policy. Column E Describe the gap. Column F Provide the action to be taken to address the requirement identified as not having been fulfilled. Column G Provide details of the actions taken to address the gap and the date of the completion of the actions. Column H Add any additional relevant comments as required. Table 3.29  PRP 13, Work Sheet 5: PRP Gap Registration and Resolution 3 Fill out this work sheet only if gaps have been identified. CHAPTER A. ISO/TS B. F. Action 22002-1, 13 Description plan G. Gap Personnel (of the D. (including resolution hygiene and requirement Associated time (actions employee of the C. Specific dairy frame for completed, H. facilities standard) requirement policy E. Gap completion) with date) Comments 13.5 Health Medical Health Food Health screen- Review/ Review/ Need to status examina- screening of safety ing policy not update approved ­continue tions, where personnel policy in compliance health policy and to monitor permitted, with country screening reenforced for next shall be regulations policy and ­policy/ 12 months carried out and not effec- communi- practice with at intervals tively com- cate effec- relevant defined by the municated to tively within personnel; organization personnel the FBO see PRP team as soon as meeting May practical 15, 2018 13.8 Prohibition Product Food Practice does Reenforce Review/ Need to con- Personnel of storage of contact safety not match policy/prac- approved tinue to mon- behavior product con- tools and policy the require- tice and new health itor for next tact tools and equipment ments of the include in screening six months equipment to be stored standard good hygiene policy and to sustain in personal in FBO- practices communi- improve- lockers supplied inspections cate it to all ments to date toolbox personnel; see PRP team meeting May 17, 2019 Food Safety Tools and Techniques: PRP 13 Personnel hygiene and employee facilities   ▪  127 Instructions for Completing PRP Work Sheet 6: Hazard Agent Column A Classify food safety hazard agents, for example, biological, chemical, or physical hazard agents. Column B Indicate the food safety hazard agent code, for example, allergen = A, biological = B, c ­ hemical = C, physical = P. Table 3.30  PRP 13, Work Sheet 6: Hazard Agent B. Hazard A. Hazardous agents class Biological: vegetative or spores, depending on circumstances B Chemical, such as cleaning chemicals, nonfood-grade lubricants, oils and greases, and chemical C residues Physical, such as various types of foreign material, including metal, wood, plastic, or other P ­foreign bodies CHAPTER Allergens: milk, soy, wheat, eggs, fish, shellfish, tree nuts, peanuts A 3 128  ▪  FOOD SAFETY HANDBOOK PRP 14: Rework Sample completed work sheets for PRP 14 follow (tables 3.31–3.36). For instructions on filling out each PRP work sheet, see the boxes that precede each sample completed work sheet. Instructions for Completing PRP Work Sheet 1: PRP Scope A. PRP study Provide the PRP title from the standard or scheme (for example, Rework). scope Provide the standard PRP number (for example, in ISO/TS 22002-1, 14—Rework). Provide the facility name, product category, processes, product, PRP start date, status of the PRP (for example, draft, approved), and end date. B. PRP review In this section, record information about the history of the PRP revision, with an explana- history tion of the reason why this update has been done: “according to plan” or “unscheduled.” For an unscheduled revision, why has this revision been undertaken? (What reason?) C. PRP team For every PRP study, the organization needs to establish an HACCP team with specific members responsibilities and roles. Names within the company, department name, and respon- sibilities should be detailed. The competence of each team member should also be 3 documented. CHAPTER D. Specialist To establish PRP studies, companies may need advice from an outsourced expert (consul- input tant/subject matter expert). The expert’s role should be explained: input/specialist advice. E. Authorization Team members must indicate their approval of the document by providing their names, positions, responsibilities held, and signature. The authorized team member should pro- vide his/her signature and the date signed. Food Safety Tools and Techniques: PRP 14 Rework   ▪  129 Table 3.31  PRP 14, Work Sheet 1: PRP Scope PRP 14 Rework A. PRP study scope Facility Joe Bloggs Dairy Plant Start date February 17, 2019 Product category Grade A Interstate Milk Status Draft Shippers registered whole milk Processes High-temperature/short- End date Ongoing time pasteurizer, aseptic filling, retort Products Grade A aseptically ­ processed     and packaged milk B. PRP review Notes/reason for unscheduled Dates of last three history Check as appropriate  review reviews New PRP study ¸ Current PRPs underwent a compre- CHAPTER hensive review for compliance with Scheduled review December 20, 2019 ISO/TS 22002-1 and ISO 22000:2018 Unscheduled review starting on February 15, 2019, and completed on February 17, 2019. These management sheets describe each PRP in place at the dairy plant facility. 3 C. PRP team members Name Position Department Responsibility/role G Moran Food safety manager Food safety Food safety/quality assurance O Brown Hygienist/microbiologist Food safety Hygienist/ microbiologist M Rodrigues Milk processing manager Milk processing Milk processing B Murphy Laboratory manager Quality assurance Laboratory D Small Warehouse manager Warehousing Warehousing O Murphy Engineering manager Engineering Engineering C Flack Factory manager Management Management D. Specialist input Name Location/job title Input/specialist advice Angela Yard Consultant PRP team facilitator E. Authorization Food safety team leader/quality Signature: Date: assurance manager G Moran February 17, 2019 Management team member Signature: Date: C Flack February 17, 2019 130  ▪  FOOD SAFETY HANDBOOK Instructions for Completing PRP Work Sheet 2: PRP Management Column A Describe the ISO/TS 22002-1 requirements. Column B Describe the hazard agent, for example, biological (B), chemical (C), physical (P), or a combination. Column C Describe how the hazard is manifest as a threat, including presence, increase, or survival. Column D Describe the cause, origin, condition, source, or vector of a hazard. Column E Describe the control measures the FBO has in place to control relevant hazards. Column F Describe the hazard measurement parameters and the monitoring frequency of the measure- ment parameters. Table 3.32  PRP 14, Work Sheet 2: PRP Management Hazards 3 C. Presence, D. Origin, CHAPTER growth, survival, cause, source, F. What is A. PRP 14 B. increase, vector, monitored and Rework Agent(s) contamination condition E. Control measures when 14.1 General B, C, P Contamination Microbiological, Hygiene, cleaning, product Hygiene, requirements chemical, inspection cleaning, or extrane- Pathogen, environmental storage moni- ous matter monitoring tored through contamination good hygiene Extraneous material practices procedures inspections Traceability and audits, monthly Pathogen monitoring program in place, weekly Food Safety Tools and Techniques: PRP 14 Rework   ▪  131 Instructions for Completing PRP Work Sheet 2: PRP Management (continued) Column G Describe the job role or title of the department/function within the FBO responsible for ­ monitoring the relevant hazard measurement parameters. Column H Describe the correction and corrective action aimed at preventing a reoccurrence of a rise above the allowable or permitted hazard measurement parameters. Column I Indicate the monitoring and hazard measurement parameter records to be maintained. Column J monitoring and Describe the verification activities necessary to confirm the accuracy of the ­ ­ hazard measurement parameters. Column K ­ tatutory and Describe the FBO documents and relevant external documents, for example, s ­regulatory requirements. CHAPTER G. Who is H. Correction/ J. Verification responsible corrective action I. Records activities K. Reference documents Dairy plant Training Good hygiene Good hygiene Dairy Plant Design and warehousing Product rework ­practices practices Construction of Buildings PRP inspection inspections 3 Dairy plant Product disposal Dairy Plant Site Location and quality assurance Audit reports Audits Standards PRP laboratory Pathogen Product Dairy Plant Layout of Premises Dairy plant food monitoring inspection and Workspace PRP safety Product inspection Environmental/ Dairy Plant Internal Structure PRP Traceability pathogen Dairy Plant Environment monitoring Suitability, Cleaning, and Maintenance PRP Warehousing PRP Rework Procedure Dairy Plant Product Inspection Procedure Dairy Plant Awareness and Training Procedure Dairy Plant Product Traceability Procedure Dairy Plant Environmental and Pathogen Monitoring Procedure Pest Control Folder/Manual (external pest control company) continued 132  ▪  FOOD SAFETY HANDBOOK Table 3.32  PRP 14, Work Sheet 2: PRP Management (Continued) Hazards C. Presence, D. Origin, growth, survival, cause, source, F. What is A. PRP 14 B. increase, vector, monitored and Rework Agent(s) contamination condition E. Control measures when 14.2 Storage, B Contamination Reclaimed Product that has not been con- Environmental ­identification, or reworked tinuously in control of the dairy and pathogen and traceability product may plant is assumed to contain monitoring have been pathogens and to be reclaimed Good ware- handled, stored, or reworked housing or used in a way If product is no longer under practices to subject it to the control of the dairy plant, contamination Product it cannot be assumed to have segregation with pathogens been held to preclude tempera- ture abuse or adulteration Product protection 3 Only product that has not left (temperature), the control of the dairy plant CHAPTER daily/weekly should be used, kept segre- gated, handled, protected, and cooled as appropriate for the product, with the exception of product approved by the regu- latory agency Reworking is done in a clean area and in a manner that will not contaminate the product being salvaged C Contamination Allergens mixed Foods containing unde- Reworked with products clared allergens may cause product on which the life-threatening reactions in segregation labels do not sensitive individuals Product indicate the labeling presence of allergens Food Safety Tools and Techniques: PRP 14 Rework   ▪  133 G. Who is H. Correction/ J. Verification responsible corrective action I. Records activities K. Reference documents Dairy plant Training Good hygiene Good hygiene Dairy Plant Design and warehousing Product rework practices/good practices/good Construction of Buildings PRP Dairy plant milk warehousing prac- warehous- Dairy Plant Site Location and Product disposal tice Inspection ing practice processing Standards PRP Audit reports inspections Dairy plant Dairy Plant Layout of Premises quality assurance Rework Audits and Workspace PRP laboratory (classification) Environmental/ Dairy Plant Internal Structure PRP Dairy plant food Pathogen pathogen monitoring Warehousing PRP safety monitoring Rework Procedure Product inspection CHAPTER Product Traceability Procedure Traceability Dairy Plant Product Inspection Procedure Dairy Plant Awareness and Training Procedure Dairy Plant Environmental and 3 Pathogen Monitoring Procedure Dairy plant Training Good hygiene Good hygiene Dairy Plant Design and warehousing Product rework practices/good practices/good Construction of Buildings PRP Dairy plant milk warehousing prac- warehous- Dairy Plant Site Location and Product disposal tice inspection ing practice processing Standards PRP Audit reports inspections Dairy plant food Dairy Plant Layout of Premises safety Rework Audits and Workspace PRP (classification) Environmental Dairy Plant Internal Structure PRP Traceability monitoring Warehousing PRP Measures of Prevention of Cross Contamination PRP Rework Procedure Allergen Management Procedure Dairy Plant Product Inspection Procedure Dairy Plant Awareness and Training Procedure Dairy Plant Environmental and Pathogen Monitoring Procedure continued 134  ▪  FOOD SAFETY HANDBOOK Table 3.32  PRP 14, Work Sheet 2: PRP Management (Continued) Hazards C. Presence, D. Origin, growth, survival, cause, source, F. What is A. PRP 14 B. increase, vector, monitored and Rework Agent(s) contamination condition E. Control measures when 14.2 Storage, P Contamination Extraneous Opening of products is con- Foreign objects ­identification, material may ducted in a manner that will contamina- and traceabil- result in choking minimize the opportunity for tion, each ity (continued) or other phys- bits, packaging, cutting tools, batch ical harm to and so on, from entering the consumers product Verification that, at some point in the process, the ingredient or the milk product to which the ingredient is added will pass through a filter, screen, or 3 small orifice CHAPTER 14.3. Rework B,C,P Contamination Microbiological, Rework procedure and addi- Hygiene usage chemical, tional documentation specify- Cleaning or extrane- ing the conditions of rework, foreign object ous matter the process step, the accept- contamina- contamination able quantity, type, conditions tion, each of rework, any preprocessing batch steps, and so on Good hygiene Opening of products is con- practices ducted in a manner that will inspections minimize the opportunity for bits, packaging, cutting tools, Audits and so on from entering the Environment product and pathogen Verification that, at some point monitoring in the process, ingredient or program in the milk product to which the place, weekly ingredient is added will pass through a filter, screen, or small orifice Food Safety Tools and Techniques: PRP 14 Rework   ▪  135 G. Who is H. Correction/ J. Verification responsible corrective action I. Records activities K. Reference documents Dairy plant Training Good hygiene Good hygiene Dairy Plant Design and warehousing Product rework practices/good practices/good Construction of Buildings PRP Dairy plant milk warehousing prac- warehous- Dairy Plant Site Location and Product disposal tice inspection ing practice processing Standards PRP Audit report inspections Dairy plant qual- Dairy Plant Layout of Premises ity assurance Rework Audits and Workspace PRP Dairy plant food (classification) Foreign objects Dairy Plant Internal Structure PRP safety Foreign objects monitoring Warehousing PRP monitoring Rework Procedure Product inspection CHAPTER Dairy Plant Product Inspection Traceability Procedure Dairy Plant Awareness and Training Procedure Dairy Plant Environmental and Pathogen Monitoring Procedure 3 Dairy plant qual- Training Good hygiene prac- Good hygiene Dairy Plant Design and ity assurance Product rework tices inspection practices/good Construction of Buildings PRP Dairy plant Audit report warehous- Dairy Plant Site Location and Product disposal ing practice maintenance Rework Standards PRP inspections Dairy plant (classification) Dairy Plant Layout of Premises sanitization Audits and Workspace PRP Environment, pathogen, and Environment, Dairy Plant Internal Structure PRP foreign objects pathogen, and foreign object Dairy Plant Environment monitoring Suitability, Cleaning, and monitoring Product inspection Maintenance PRP Product Traceability inspection Warehousing PRP Waste disposal Rework Procedure Dairy Plant Product Inspection Procedure Dairy Plant Awareness and Training Procedure Dairy Plant Environmental and Pathogen Monitoring Procedure 136  ▪  FOOD SAFETY HANDBOOK Instructions for Completing PRP Work Sheet 3: Verification Action Plan Column A ­ ecommended The establishment should provide details on the number and title of the PRP. It is r that the number should match the number of the relevant part in the appropriate FSMS scheme standard, for example, in ISO/TS 22002-1, 14—Rework. Column B The establishment should provide details on the verification actions associated with the PRP and on the individual or entity responsible for reviewing these verification actions. Table 3.33  PRP 14, Work Sheet 3: Verification Action Plan A. PRP B. Verification action 14 Rework Reviewed by laboratory manager and pest control PRP team Review of environment, pathogen, and foreign objects monitoring Review of good hygiene practices/good warehousing practice inspections Food safety management system audits 3 Internal GMP/hygiene audits CHAPTER Review of cleaning/sanitizing program/schedule/records Review of product disposal Review of traceability Review of training Frequency and criticality review Food Safety Tools and Techniques: PRP 14 Rework   ▪  137 Instructions for Completing PRP Work Sheet 4: PRP Meeting Summary Column A List meeting dates. Column B List attendees among the team and other invitees. Column C Provide the reason for the meeting. Column D Record decisions and next steps. Column E Identify the individuals or entities responsible for executing any decisions. Column F Record deadlines. Column G Indicate the dates of relevant actions. Table 3.34  PRP 14, Work Sheet 4: PRP Meeting Summary G. D. Outcome E. F. Deadline CHAPTER A. Date B. Participants C. Purpose (decisions/actions) Responsibility Deadline reached April 20, G Moran, Initial PRP Update PRP manage- G Moran to May 15, May 15, 2018 O Brown, review ment work sheet complete verifi- 2018 2018 M Rodrigues, Review related PRPs cation sheet B White, D Collins, O Murphy, 3 C Flack April 28, G Moran, Complete Completed and G Moran to May 15, May 15, 2018 O Brown, GAP sheet approved update PRP 2018 2018 M Rodrigues, Review PRP Reviewed and work sheets B White, management approved D Collins, work sheet O Murphy, C Flack February G Moran, Review Complete the update PRP team to February February 17, 2019 O Brown, and update of the water supply complete 17, 2019 17, 2019 M Rodrigues, of utility specification B White, specifications D Collins, O Murphy, C Flack February G Moran, Review and The current PRPs PRP team to February February 17, 2019 O Brown, update based underwent compre- complete 20, 2019 20, 2019 M Rodrigues, on changes hensive reviews of B White, to ISO compliance with ISO/ D Collins, 22000:2018 TS 22002-1 and ISO O Murphy, 22000:2018 starting C Flack on February 17, 2019, and completed on February 20, 2019 138  ▪  FOOD SAFETY HANDBOOK Instructions for Completing PRP Work Sheet 5: PRP Gap Registration and Resolution Column A Provide a description of the FSMS scheme requirement. Column B Provide a description of the requirement arising from the FSMS scheme where the gap exists. Column C Provide a short description of the specific requirement where the gap exists within the FBO. Column D Detail the relevant FSMS policy. Column E Describe the gap. Column F Provide the action to be taken to address the requirement identified as not having been fulfilled. Column G Provide details of the actions taken to address the gap and the date of the completion of the actions. Column H Add any additional relevant comments as required. Table 3.35  PRP 14, Work Sheet 5: PRP Gap Registration and Resolution 3 Fill out this work sheet only if gaps have been identified. CHAPTER B. F. Action Description plan G. Gap (of the (including resolution A. ISO/TS requirement D. time (actions 22002-1, 14 of the C. Specific Associated frame for completed, Rework standard) requirement dairy policy E. Gap completion) with date) H. Comments 14.2 The rework Recording Food safety Rework Review/ Rework Need to com- Storage, classification of rework policy procedure update procedure plete training identifica- or the reason classification does not rework updated; and verify tion, and for the rework fully meet procedure see PRP effectiveness of traceability designation the require- team implementation shall be ments of ­meeting recorded ISO/TS May 15, 2018 (for exam- 22002-1 ple, product name, date of production, shift, line of origin, shelf life) Food Safety Tools and Techniques: PRP 14 Rework   ▪  139 Instructions for Completing PRP Work Sheet 6: Hazard Agent Column A Classify food safety hazard agents, for example, biological, chemical, or physical hazard agents. Column B Indicate the food safety hazard agent code, for example, allergen = A, biological = B, c ­ hemical = C, physical = P. Table 3.36  PRP 14, Work Sheet 6: Hazard Agent A. Hazardous agents B. Hazard class Biological: vegetative or spores, depending on circumstances B Chemical, such as cleaning chemicals, nonfood-grade lubricants, oils and greases, and C ­chemical residues Physical, such as various types of foreign material, including metal, wood, plastic, or other P foreign bodies Allergens: milk, soy, wheat, eggs, fish, shellfish, tree nuts, peanuts A CHAPTER 3 140  ▪  FOOD SAFETY HANDBOOK General information on HACCP History of HACCP In the 1960s, the Pillsbury Corporation developed the HACCP system with the U.S. National Aeronautics and Space Administration to ensure food safety aboard the first manned space missions. The HACCP system and application guidelines were defined by the CAC, which implements the Food Standards Program of the Food and Agriculture Organization of the United Nations and the World Health Organization.4 Following an outbreak of Escherichia coli 0157 in Scotland in 1996, the Pennington Report recommended that HACCP be adopted by all food businesses to ensure food safety (Pennington 1997). All global food safety initiative scheme standards—BRC Global Standards, FSSC 22000, Safe Quality Food Programs, GLOBALG.A.P., and so on—have established specific requirements for the incorporation of HACCP into FSMSs. An effective HACCP has become invaluable in supporting any food safety due diligence defense. HACCP principles 3 An FSMS represents a systematic approach to identifying and controlling hazards, whether microbiological, CHAPTER chemical, or physical, that could pose a threat to the production of safe food. This involves identifying what could go wrong in a food system and planning how to prevent this occurrence. An FSMS must be based on HACCP principles, which enable FBOs to identify and control hazards before they threaten the safety of food or of consumers. There are seven principles of HACCP, as follows: First, identify the hazards. This requires that FBOs examine each stage—purchasing, delivery, storage, prepa- ration, cooking, refrigeration, and so on—in their food operations and identify what might go wrong. This might involve Salmonella in a cooked chicken product because of cross contamination with raw meat (biolog- ical hazard), the contamination of uncovered food by detergent (chemical hazard), or a piece of broken glass that has fallen into an uncovered food (physical hazard). Second, determine the critical control points. FBOs need to identify the points in their operations that ensure their control over the hazards, For instance, cooking raw meat thoroughly will kill pathogens, such as Escherichia coli O157. Third, establish critical limits. FBOs must set limits to enable them to identify when a CCP is out of con- trol. Thus, during cooking, the center of a beef burger patty must reach a minimum temperature of 75°C or an equivalent time temperature combination, such as 70°C for two minutes, to ensure that pathogens are destroyed. Fourth, establish a system to monitor the control over the CCP. In identifying CCPs and critical limits, FBOs should possess a method to monitor and record what is happening at each CCP. Typically, monitoring involves measuring parameters, such as temperature and time. However, the method and frequency of this monitoring often depends on the size and nature of the FBO operations. However, in any case, the monitoring process should be simple, clear, and easy. For example, refrigerated food might be probed to ensure that the tempera- ture is maintained at 5°C or less. Fifth, establish the corrective action to be taken if monitoring indicates that a particular CCP is not under control. Thus, if the temperature of a food in a refrigerator rises to 10°C because of a technical failure in the appliance, the corrective action might be to discard the food and repair the unit according to the manufactur- er’s instruction manual to ensure the correct temperature of 5°C is achieved. Food Safety Tools and Techniques   ▪  141 Sixth, establish verification procedures to confirm that the HACCP system is effective. FBOs should review and correct their FSMSs periodically and whenever they alter their operations. For instance, after replacing an oven, an FBO should, by probing food, determine that the time and temperature settings of the new appliance are accurate and achieve the minimum safe cooking temperature for the particular dish. Seventh, establish documentation on all procedures and records appropriate to these principles and to the application of these principles. For the successful implementation of an FSMS based on HACCP, appropriate documentation and records must be kept and be readily available. It is unrealistic to operate HACCP or to demonstrate compliance with current legislation without providing evidence, such as written records. As with the FSMS itself, the complexity of the recordkeeping will depend on the nature and complexity of the FBO’s business. The aim should be to ensure that control is maintained without generating excessive paperwork. The benefits of hazard control and HACCP Hazard control or HACCP provides businesses with a cost-effective system for controlling food safety, from ingredients through production, storage, and distribution to sales and service among final consumers. The pre- ventive approach of hazard control or HACCP not only improves food safety management, but also comple- CHAPTER ments other quality management systems. It promotes the following main benefits: ▪▪ Saves the business money in the long run ▪▪ Avoids poisoning among customers of the business ▪▪ Food safety standards are enhanced ▪▪ Ensures that the business complies with the law 3 ▪▪ Food quality standards are improved ▪▪ Organizes the processes of the business to produce safe food ▪▪ Organizes business staff by fostering teamwork and efficiency ▪▪ Due diligence becomes a defense in court The International Finance Corporation (IFC) has developed a comprehensive cost-benefit analysis tool to enable FBOs to establish the benefits of adopting hazard controls, HACCP, or an FSMS (see chapter 6). Preliminary steps in developing a hazard control or HACCP plan When the FBO sets about establishing and developing a hazard control or HACCP plan, the FBO needs to develop the processes required for the production of safe products. Drawing up a hazard control or HACCP plan starts with the collection of information. The fact-finding process involves several preliminary steps. ISO 22000:2018 requires that all relevant information needed to conduct the hazard analysis be collected, main- tained, updated, and documented. Records should also be kept. THE PURPOSE OF THE PRELIMINARY STEPS HACCP systems and FSMSs are systematic preventive approaches to ensuring the safe production of food products. Prior to the application of a hazard control or HACCP plan, an FBO should be operating according to the CAC (2003) General Principles of Food Hygiene, the appropriate Codex Alimentarius codes of practice, and relevant food safety legislation. FBOs must understand the food sector requirements that apply to their food 142  ▪  FOOD SAFETY HANDBOOK products and processes. They are obligated to implement, operate, and ensure the effectiveness of the planned activities and any changes to these activities. THE FIVE PRELIMINARY STEPS The CAC (2003) outlines five preliminary steps that need to be completed before a hazard control or HACCP plan is developed. These preliminary steps must be addressed in sequence. They are (1) assemble the hazard control or HACCP team, (2) describe the food and the distribution of the food, (3) describe the intended use and the consumers of the food, (4) develop a flow diagram that describes the process, and (5) verify the flow diagram. Preliminary step 1: Assemble the hazard control or HACCP team To ensure that all likely hazards and CCPs are identified, a multidisciplinary team of people must be assem- bled to develop, implement, and maintain the HACCP system. The hazard control or HACCP team should consist of people who have operational experience, product-specific knowledge, and a good understanding of the production process. The hazard control or HACCP team should include the following types of employees: quality assurance managers, technical staff, production supervisors and managers, laboratory personnel, engi- neering staff, and sanitation staff. 3 If the FBO is small, the hazard control or HACCP team may be supported by an external FSMS consultant. In CHAPTER this case, there should be a written agreement or contract in place between the FBO and the FSMS consultant clearly defining roles and responsibilities. Given the risk associated with the product or commodity being pro- duced or processed, the FBO has a duty to ensure that the consultant is suitably competent and can perform the assigned tasks. A hazard control or HACCP team leader needs to be designated to oversee the development, implementation, and maintenance of the hazard control or HACCP system. The team leader must have a good understanding of hazard control or HACCP and a working knowledge of the product and the relevant production process. It is desirable that the team leader should also have proven competence in the design and delivery of training. Attendance of the team leader at a recognized training-the-trainer course is recommended. Preliminary step 2: Describe the food and the distribution of the food A full description of the product needs to be prepared to provide a profile of the product and to help deter- mine the food safety hazards associated with the production of the product. A key element is the collection of relevant information on associated food safety hazards and acceptable limits. The hazard control or HACCP team needs to collect food safety hazard identification data and information on acceptance levels that are defined and documented by (1) statutory and regulatory agencies, (2) the CAC, (3) customers, and (4) scien- tific studies. Product descriptions must cover relevant food safety information, such as (1) available water process parameters, for example, pH, heavy metals, and so on; (2) end product characteristics, including, for exam- ple, shape, size, color, texture, and smell; (3) details on the method of preservation; (4) packaging; (5) stor- age conditions; (6) shelf life; (7) special labeling; (8) customer preparation; and (9) details on the method of distribution. Preliminary step 3: Describe the intended use and the consumers of the food Information on the expected use of a product by end users and consumers should be identified because the intended use of a product will affect hazard analysis decisions. This might include, for example, information on whether the food must be cooked before consumption, or is ready to eat without cooking. Intended use Food Safety Tools and Techniques   ▪  143 information should also identify whether the end user is the general public or a specific consumer group, par- ticularly vulnerable groups, such as infants, the elderly, pregnant women, ill people, immuno-compromised persons, or cancer patients. Preliminary step 4: Develop a flow diagram that describes the process The hazard control or HACCP team should draw up a flow diagram that provides a clear, simple outline of all inputs, steps, and outputs in the food production process. All steps in the process must be set out, including any reworking or recycling of materials. The flow diagram provides the foundation for a systematic hazard analysis. Preliminary step 5: Verify the flow diagram An on-site review of the flow diagram must be carried out to check that the diagram accurately reflects the production process associated with the product. The hazard control or HACCP team should follow the production process on-site and check that the flow diagram includes all steps that are carried out. When verifying the accuracy of the flow diagram, consideration needs to be given to the number of work shifts and hours of operation, batch sizes, optional ingredients, and nonroutine steps, such as equipment maintenance. CHAPTER The completion of the five preliminary steps in the development of a hazard control or HACCP plan rep- resents a solid foundation for the successful application of the seven HACCP principles. Hazard control or HACCP plan workbook The following workbook details a sample FBO hazard control plan that is based on Codex Alimentarius and 3 ISO 22000 requirements. It provides information on the implementation of a dairy sector HACCP system and the development of the associated FSMS documentation. These methodologies can be applied in the case of any food product. ISO 22000:2018 AND HACCP The hazard control plan workbook is recommended for use in conjunction with ISO 22000:2018. ISO 22000:2018 introduced two new terms, namely, “hazard control plan” and “action criterion.” A hazard con- trol plan is equivalent to an HACCP plan, with one major difference: it identifies both CCP and operational PRP (OPRP) control measures. ISO 22000:2018 covers both the HACCP plan, which identifies CCP control measures, and the OPRP plan, which defines the OPRP control measures. In effect, the hazard control plan combines these two categories of control measures into one plan. The second new term is “action criterion,” which is associated only with an OPRP control measure. An action criterion is defined as a measurable or observable specification for the monitoring of an OPRP. It has been established to determine whether an OPRP remains in control and distinguishes between what is acceptable and unacceptable. Refer to table 3.41, later in this chapter, for details. The workbook overview (table 3.37) chronicles the 13 sample HACCP work sheets (tables 3.38–3.49, figure 3.2), which are similar to ones to be filled out by designated HACCP teams. The 13 sample work ­ sheets include 10 main work sheets (tables 3.38–3.46, figure 3.2) and 3 supplementary work sheets (tables 3.47–3.49). Each work sheet contains brief descriptions of the information to be inserted in each ­ ample completed fields. Editable work sheets and templates can be found at the following field as well as s location: http://www.ifc.org/foodsafety/handbook/templates. 144  ▪  FOOD SAFETY HANDBOOK Table 3.37  Overview: HACCP Work Sheets Main work sheets Supplementary work sheets Comments Work sheet 1: HACCP scope Registration and approval of the HACCP study Work sheet 2: product/ingre- Product and process description, including dient descriptions characteristics of raw materials and end products Work sheet 3: flow diagram Simplified process flow diagram with OPRP and CCP location Work sheet A: hazardous Guidance for food safety/HACCP team: agent codes and classification assessing hazards controlled by HACCP system Work sheet 4: hazard Each potential hazard is listed and the signif- ­identification and description icance is determined according to the sever- ity of the health effects and the likelihood of the hazard’s occurrence 3 Work sheet B: hazard assess- Coding and classifying potentially hazardous CHAPTER ment table agents that need to be considered during the study Work sheet 5: control With help of the decision tree, the control measure selection and measures are categorized as CCP, OPRP, or categorization modification Work sheet 6: validation of Evidence that the control measure can control measures achieve the targeted limits Work sheet 7: HACCP plan, List and overview of all identified CCPs and including OPRPs OPRPs with control measures, limits, correc- tive actions, and responsibilities Work sheet 8: verification Overview of verification activities that plan shows that the CCPs and OPRPs have been implemented properly Work sheet 9: modification(s) List of modifications, with details and follow-up Work sheet 10: meeting Recording meetings, attendance, and summary ­ ecisions made by the team d Work sheet C (optional): list Supporting information, recording, of supporting documents and filing Food Safety Tools and Techniques: HACCP document templates for whole milk   ▪  145 MAIN  WORK SHEETS Work sheet 1: HACCP scope Work sheet 1 defines and documents the scope of the hazard control study, along with the revision history. It also lists the HACCP team members conducting the study. It has two sections. The first is to be completed before the start of the study, while the second is to be completed following the end of the study. The work sheet consists of eight sections. Completion instructions are included within the sample work sheet (table 3.38) to the right of the relevant rows. Table 3.38  HACCP Work Sheet 1: HACCP Scope Instructions Complete the first section (below) at the start of the hazard control plan/HACCP study. HACCP study no. Version no. HACCP study Supply the HACCP study number, #122015 V1.0 version number, study details HACCP study details Check as appropriate (may involve checking one of several descriptions), and the study start New HACCP study ¸ CHAPTER date. Scheduled review Unscheduled review Date study started February 1, 2018 HACCP study scope HACCP study scope Complete the HACCP study scope Factory Joe Bloggs LLC information, including factory Plant/line 2211 name, plant/line description or num- 3 ber, brand name, product name, Brand Bloggs product code, and FSMS reference. Product name Whole milk Product code Interstate Milk Shippers #1 FSMS reference ISO 22000:2018 Description of scope of study (for example, module, start and end point, or products included)  Description of scope of study Complete the description of scope Grade A aseptically processed and packaged milk of study information by offering a short description of the process undergone and the product. Scheduled or unscheduled review: main changes/reasons/causes  Scheduled or unscheduled review Provide information on hazard ISO 22000:2018/FSSC 22000 review control or HACCP review history, including the type, “scheduled” or “unscheduled.” For unscheduled reviews, also indicate the cause or reason for the review. continued 146  ▪  FOOD SAFETY HANDBOOK Table 3.38  HACCP Work Sheet 1: HACCP Scope (Continued) Instructions HACCP team members HACCP team members Supply details on hazard control or Name Responsibility/role/ Department/company HACCP team members. expertise G Moran Food safety manager Food safety/quality assurance O Brown Hygienist/ Hygienist microbiologist M Rodrigues Milk processing Milk processing manager B Murphy Laboratory manager Laboratory D Small Warehouse manager Warehousing O Murphy Engineering manager Engineering C Flack Factory manager Management N Williams Veterinary Food safety/quality assurance Authorization for new HACCP study or update to new version Authorization of HACCP study The authorized person should sign Factory manager C Flack Date: February 15, 2018 and date the authorization. 3 Complete the section below upon completion of the HACCP study. CHAPTER Planned modification(s) according to HACCP study Planned modification(s) Identify modification number, Modification no. Provisional control Deadline provisional control measures and immediate measure(s) for ­ deadlines, next review date, and the application date the current study was issued.     Date:     Date:     Date: HACCP study review HACCP study issue date Next scheduled review (date): December 20, 2018 Study Date: February 15, issued 2018 Authorization of completed study Authorization of completed study Food safety team leader G Moran Date: February 15, 2018 Authorized persons should sign and Hygienist/microbiologist O Brown Date: February 12, 2018 date the study. Factory manager C Flack Date: February 12, 2018 Food Safety Tools and Techniques: HACCP document templates for whole milk   ▪  147 Work sheet 2: Product and ingredient description Work sheet 2 defines and documents the characteristics of the product, which may include details on the production process and product category (table 3.39). The description of the safety of the product should encompass the sensitivity to and potential for safety risks. Traceability should be facilitated by clarifying the supply chain, ranging from the raw materials used to the distribution of the finished product. An extensive specification of the end product is required to ensure a comprehensive assessment of the relevant food safety procedures. The end product information specified on the work sheet must clearly reflect the following product details: product name; type; general product specifications, such as appearance and weight; specific requirements, such as relevant legislation or customer requirements; raw materials and ingredients used (composition); safety indicators (chemical, microbiological and physical, allergens); product packaging; main steps and pro- cessing conditions (production method); shelf life and storage conditions; safety-related product labeling; intended use by consumers and proper use; transportation conditions and distribution methods; potential for mishandling or misuse of the product; target consumer groups; and other characteristics having an impact on food safety. The description of raw and auxiliary materials that have come into contact with the food product should CHAPTER concisely indicate the following: the names of these raw materials, ingredients, and auxiliary materials; com- position; high-risk ingredients; safety indicators (chemical, microbiological and physical, allergens); origin or supplier; main stages and processing conditions (production method); methods of packaging and transporta- tion; storage conditions and shelf life; preparation or processing before use or reprocessing; and acceptance criteria related to food safety. All indicators on the sample form are provided solely for illustrative purposes. In designing its own specifica- 3 tions, the FBO should consider all indicators in light of relevant legislation, regulations, required technological specifications, customer requirements, and other requirements. 148  ▪  FOOD SAFETY HANDBOOK Table 3.39  HACCP Work Sheet 2: Product and Ingredient Description Instructions End product characteristics End product characteristics Provide details on the ­product Name (product[s], product Grade A aseptically processed and packaged milk or product family name, group[s], line) type, physical and chemical characteristics, key processing Composition Cow’s milk steps, and other characteris- tics. Indicate details on raw Type (e.g., raw, cooked, ready to Ready to eat materials, high-risk ingredients, packaging materials, rework, eat) and other characteristics. Key chemical, biological, and Chemical parameters ­physical characteristics Heavy metals • Lead, mg/kg, not more than 0.1 • Arsenic, mg/kg, not more than 0.05 • Cadmium, mg/kg, not more than 0.03 • Mercury, mg/kg, not more than 0.005 3 Antibiotics • Chloramphenicol is not allowed CHAPTER • Tetracycline group is not allowed • Streptomycin is not allowed • Penicillin is not allowed • Inhibitory substances are not allowed • Melamines are not allowed Radionuclides • Cs-137, Bq/kg, not more than 100 • Sr-90, Bq/kg, not more than 37 Biological parameters • Mesophilic aerobic and facultative anaerobic microorganisms—no more than -100,000 CFU/g • Coliforms in 0.1 CFU/mL—not allowed • Pathogens including Salmonella spp 25.0 g—not allowed • Staphylococcus aureus in 1.0 g—not allowed • Listeria in 25.0 g—not allowed Physical parameters • Group purity—not less than 1 • Particles of mechanical impurities are not allowed Key processing steps (e.g., drying, Storage, clarifier/separator, normalization, pasteur- heat treatments, freezing) ization, filler, storage, distribution/logistics Other continued Food Safety Tools and Techniques: HACCP document templates for whole milk   ▪  149 Table 3.39  (Continued) Instructions Specifications and regulatory requirements (food safety related) Specifications and regula- tory requirements Product specifications JB-0346-7654-A Indicate details on product Product-specific regulatory PMO 2005 specifications and regulatory requirements. requirements Filling and packing Filling and packing Supply details on packaging and Packaging description (e.g., size) High-density polyethylene gallon container with a packaging system requirements. polypropylene snap-on screw tamper-evident cap Packaging system (e.g., modified Aseptic packaging atmosphere) Claims and label information Claims and label information Complete details on claims Instructions for use by consumers Keep refrigerated, Grade A pasteurized, homog- about product and label (including use or storage after enized, vitamin A and D added, 30% less fat than information. opening) regular milk Statements for safe use (e.g., Shelf life seven days; storage temperature not to allergen information, special exceed +6°C—24 hours instructions for safe handling) CHAPTER Other Date of manufacture Distribution/storage/description Distribution/storage/ description Distribution instructions Product is cased in standard milk cases—four units Fill in details on distribution, (e.g., ambient, chilled, frozen) per case, using ­refrigerated trucks from 0°C to +20°C storage, shelf life, and other Storage instructions (e.g., ambi- Distributed using refrigerated trucks from 0°C to conditions. ent, chilled, frozen) +20°C in a vehicle fitted out for the shipment of food 3 for the wholesale and retail trade Shelf life conditions Storage conditions at temperature from 0°C to +20°C. Shelf life seven days Other Not applicable Use by consumers Use by consumers Supply details on intended use, Intended use Ready-to-serve product. May also be used as an special consumer groups, and ingredient in preparing meals reasonably expected mishan- Target group of users and spe- Consumers of all ages consume this product dling and misuse. cial consumer considerations (e.g., infants, elderly) Reasonably expected mishan- Not stored under proper refrigeration dling and misuse Incoming material Incoming material characteristics characteristics Name of raw materials, ingredients Cow’s milk Define all raw materials, ingredi- ents, and materials coming into contact with the food. Composition Cow’s milk Specify ingredients, including food additives and processing aids. High-risk ingredients Cow’s milk: a hospitable environment for the devel- Provide a list of high-risk ingredi- ents, including allergens (celery, opment of microorganisms (lactic acid bacteria, corn, eggs [usually a protein], streptococci, coliforms, putrefaction bacteria, citrus, pumpkin, legumes, Salmonella spp, among others) peanuts, soybeans, milk, seafood, sesame, tree nuts, wheat), micro- biological hazards (Salmonella spp., Clostridium botulinum, Staphylococcus aureus, Yersinia enterocolitica, Listeria monocyto- genes, Vibrio spp., Escherichia coli O157:H7, Clostridium perfringens, Bacillus cereus, Campylobacter spp., Shigella spp.), and sources of foreign bodies (packing material, transport, material type). continued 150  ▪  FOOD SAFETY HANDBOOK Description Table 3.39  HACCP Work Sheet 2: Product and Ingredient ­ (Continued) Instructions Incoming material charac- Incoming material characteristics (continued) teristics (continued) Key chemical, biological, and Chemical parameters Properties or characteristics important in determining safety ­physical characteristics Toxic elements may include physical charac- teristics (particle size, porosity, • Lead, mg/kg, not more than 0.1 weight), chemical characteris- • Arsenic, mg/kg, not more than 0.05 tics (pH, water activity, acidity), • Cadmium, mg/kg, not more than 0.03 or microbiological character- istics (content colony-forming • Mercury, mg/kg, not more than 0,005 unit per g). Pesticides • Hexachloran α, β, γ isomers, mg/kg, not more than 1.25 (in terms of fat) • DDT and its metabolites, mg/kg, not more than 1.0 (in terms of fat) Radionuclides 3 • Cs-137, Bq/kg, not more than 100 • Sr-90, Bq/kg, not more than 3.7 CHAPTER • Inhibiting substances are not allowed Antibiotics • Chloramphenicol is not allowed • Tetracycline group is not allowed • Streptomycin is not allowed • Penicillin is not allowed Biological parameters • Number of somatic cells, 1,000/cm3 • Mesophilic aerobic and facultative anaerobic microorganisms—no more than 100,000 CFU/g • Coliforms in 0.1 CFU/mL are not allowed • Pathogens, including Salmonella spp. 25.0 g—not allowed • Staphylococcus aureus in 1.0 g—not allowed • Listeria in 25.0 g—not allowed Physical parameters • Density, kg/m3, at least 1,028 • Group of purity—not less than 1 • Particle mechanical impurities not allowed Supplier World of Milk dairy farm Supplier Specify the raw material supplier. continued Food Safety Tools and Techniques: HACCP document templates for whole milk   ▪  151 Table 3.39  (Continued) Instructions Processing main steps and Obtained during the mechanical milking of cattle, Processing main steps and ­conditions ­conditions (production method) followed by cooling to +6°C Specify processes to block the occurrence, reproduction, or survival of microorganisms. Packing and transportation Closed tightly sealed transportation containers Packing and transportation containers containers (stainless steel tanks); food rubber gaskets used in Specify the type of material sealing the lids that is in contact with the food product. Storage conditions and shelf life Storage temperature not to exceed +6°C. 24 hours Storage conditions and shelf life Specify the shelf life and appro- priate storage conditions for the raw materials. Preparation or processing before Filtering, cooling Preparation or processing before use use Specify the stages of prepara- tion or processing of raw mate- rials prior to use to minimize CHAPTER food hazards. Acceptance criteria related to Temperature when accepted of not more than Acceptance criteria related to safety safety +10°C Specify safety criteria for the Availability of veterinary certificate raw materials checked by the company at acceptance. Test for the absence of antibiotics (chlorampheni- col, tetracycline group, streptomycin, penicillin) 3 Group of purity—not less than 1 Particles of mechanical impurities are not allowed Other (e.g., preservatives, Not applicable Other ­processing aids, services) Specify any other information. 152  ▪  FOOD SAFETY HANDBOOK Work sheet 3: Flow diagram Work sheet 3 illustrates all production steps for the product or similar products within a hazard control or HACCP system (CAC 2003). It takes the form of a flow diagram (figure 3.2). The flow diagram should be constructed by the hazard control or HACCP team and should cover all operational steps pertaining to a specific product. The same flow diagram may be used for any number of products manufactured through a similar process. Prepare flow diagrams for the products or process categories covered by the hazard control or HACCP system. Flow diagrams should provide a basis for evaluating the possibility of an occurrence, increase, or introduction of food safety hazards. The flow diagrams need to take into account the relevant process steps, their sequence, and how they relate to each other. If work is subcontracted or outsourced, this should be indicated in the flow diagram. The flow diagram should detail the introduction of raw materials, ingredients, and so on. If rework is an option in the process or in recycling, these steps need to be included. The realization of waste, by-products, intermediate products, and end products should also be included. Figure 3.2  HACCP Work Sheet 3: Flow Diagram 1 CCP 1 1 Raw milk receiving 3 CHAPTER 2 OPRP 1 2 Raw milk cleaning/filtration and storage 3.1 3 3.2 3 Raw milk storage Separation of milk Raw cream storage 4.1 Vitamin receiving 4 4.3 Normalization 4 4.2 Vitamin dosage and Vitamin storage fortification OPRP 2 5 5 Homogenization 6 6 CCP 2 Rework Pasteurization 7 7 Pasteurization storage 8.1 Container receiving 8.3 8.4 8 Waste from 8 Container cleaning with Filling 8.2 pasteurized/treated water packaging Container storage 9 9 OPRP 3 Cold storage 10 10 Distribution/logistics Authorization Name Position/responsibilities on the team Signature Date G Moran Food safety manager, HACCP team leader G Moran February 1, 2018 Food Safety Tools and Techniques: HACCP document templates for whole milk   ▪  153 The accuracy and actuality of the flow diagrams and layout should be verified by the hazard control, HACCP, or food safety team for compliance with the documented situation. This verification should be repeated peri- odically (at least annually) to identify and document modifications in the process installation and layout. The FBO needs to make a diagram for all process steps, including all control steps (CCP) with specific parameters. An individual should be designated to be responsible for most steps in the creation of the flow diagram. The main steps are as follows: ▪▪ Construct a flow diagram of the process ▪▪ Number each step in the process ▪▪ Indicate the CCP when the hazard control plan or HACCP system study is completed ▪▪ Indicate the OPRP when the hazard control plan or HACCP system study is completed ▪▪ Record the on-site verification of the flow diagram Input control of raw and auxiliary materials is carried out in the enterprise laboratory in accordance with the guidelines 1 on technochemical and microbiological control at dairy industry companies; these are duly approved and consistent with CHAPTER the standards of research methods specified in the technical specifications for this product. Milk selected based on safety indicators is purified by mechanical filters, then immediately cooled to 4°C (±2°C) and fed to 2 the intermediate storage tanks. The duration of raw milk storage at a temperature up to 4°C is 12 hours, and at up to 6°C, 6 hours. 3 Part of the milk is separated in cream separators to select the cream. 3 The milk is normalized in mass fractions of fat and protein in such a way that these shares of the normalized mass fractions correspond to milk fat and protein shares in the end product. ▪ As for fat, milk is normalized by adding cream. ▪ As for protein, milk can be normalized by mixing milk batches with content of varying protein weight percentages. 4 ▪ For dosage of vitamins, the responsible person must weigh the required number of vitamins and prepare a solution as recommended by the technological instruction in compliance with the safety requirements. The required amount of the complex needs to be taken, trying not to raise dust, and wearing protective gloves and goggles to avoid contact with skin and eyes. After use of the vitamins, the package must be tightly closed. Vitamins should be stored in a dry, dark place, with limited access, at a temperature not higher than +25°C. They can be stored in a sealed package without air and light for one year. 5 Milk is homogenized at a pressure of 12–18 bars. The milk is pasteurized at a temperature not less than 85°C, and the time of pasteurization should not be less than 6 20 seconds (this time is conditioned by constructive features of the equipment) and cooled to 4°C (±2°C). If the pasteurization temperature does not reach the required level, the milk should be pasteurized again (rework). Pasteurized refrigerated milk enters the tank for intermediate storage before further processing. The maximum shelf life 7 of pasteurized milk to sterilization is 24 hours. Pasteurized milk bottling is carried out under hygienic conditions. The packaging material is cleaned with pasteurized 8 or treated water before bottling. Packaging material is supplied only by approved suppliers. The certificate of analysis or compliance is provided. The laboratory provides incoming inspection according to company requirements. Packets put in shrink film or cardboard trays are stacked on pallets for foodstu transportation and fed to the dry, clean chamber at a temperature of 0°C to +20°C. Here the pasteurized milk is cooled to a temperature of +20°C or less 9 in under 24 hours, after which the process is considered complete. Products in storage must be protected from direct sunlight. The shelf life of pasteurized milk with a fat content of 5.0% in a package of composite material with a nominal volume 10 of 1 liter at a temperature ranging from 0°C to +20°C is four months from the date of manufacture. Instructions The document should be approved on-site after the flow diagram check is completed. 154  ▪  FOOD SAFETY HANDBOOK Work sheet 4: Hazard identification and description Work sheet 4 defines and documents each potential hazard identified during the food production process by the HACCP team and determine its significance according to the severity of the health effect and the likelihood of occurrence (table 3.40). The FBO hazard control, HACCP, or food safety team should identify, analyze, and evaluate all potential biological, chemical, and physical hazards that can have an adverse effect on the safety of the products. The identification should include all aspects of FBO operations within the scope of the hazard control, HACCP, or FSMS system, such as raw materials and ingredients (specifications, process control at suppliers, and so on); characteristics of interim and end products (intrinsic product specifications, for example); char- acteristics of the processes used, including by subcontracted services; PRPs (layout of the facility, production Table 3.40  HACCP Work Sheet 4: Hazard Identification and Description Location of potential hazard Hazard description Indicate the step (e.g., raw Describe clearly and specifically the hazards that are ­ reasonably expected to occur at each step: 3 material, processing, or Class (B, P, C, or A), agent, size, origin, nature, etc. distribution) at which the CHAPTER hazard may be introduced. Hazardous Origin or Step agent Hazard source of Nature of the Acceptable level in Step no. (description) Hazard class description no. the hazard hazard end product 1 Raw milk C Therapeutic C1 Primary Presence Absence receiving drugs milk (antibiotics) production (farm) 1 Raw milk C Toxic C3 Primary Presence, Lead, mg/kg, not receiving elements milk introduction more than 0.1 (heavy production Arsenic, mg/kg, not metals) (farm) more than 0.05 Cadmium, mg/kg, not more than 0.03 Instructions Step no. Step description Hazard class Hazardous Hazard Origin or Nature of the Acceptable level in Defines a Defines the title Defines the haz- agent no. source of hazard end product sequential or description of ard agent class: description Defines the hazard Defines particular Defines the acceptable number the process step. B (biological), Defines the the Defines hazard threats, level of the hazard as for each C (chemical), hazard con- hazard where and such as availabil- required by law or cus- process P (physical), trolled by the agent how the ity, capacity for tomer specifications. step. A (allergen). measure. code: B1, product or growth, survival, C1, P, A. environment allocation of toxins can become or toxic chemicals, contami- or migration of nated. chemicals. Food Safety Tools and Techniques: HACCP document templates for whole milk   ▪  155 lines, installations, and equipment; location of rooms, routing, storage, and separation of raw materials, interim products, end products, ventilation, and so on; production processes, including purchasing, cleaning and disinfection, packaging, maintenance, pest control, waste management, and so on; personnel, including arrangements for visitors and external service providers, for example, mechanics (hygiene, knowledge on food hygiene and food safety, requirement to notify diseases and infections, and so on). The FBO hazard control, HACCP, or food safety team shall conduct a hazard analysis to identify which haz- ards are of such a nature that their elimination, reduction, or control at acceptable levels is essential to the production of safe food. The hazard analysis should cover the likely occurrence of hazards and the severity of their adverse health effects. Whenever the FBO changes procedures in a manner that could adversely affect food safety, all relevant steps of the hazard analysis must be updated. Hazard assessment Justification of hazard selection and assessment Q1: Based on the hazard description, likelihood of occurrence (before Provide supporting data/references on likelihood CHAPTER applying the control measure), and severity of health effects, does this of occurrence, information on severity of health hazard need to be controlled, i.e., is it a significant hazard? effects, and acceptable level in end product. For each hazard, document why it is or why it is not likely to occur or to cause adverse health effects. For a nonsignificant hazard, document if it is managed, e.g., by a PRP, through a specification or major allergen declaration. Make sure that all hazards likely 3 Severity of adverse Significant hazard? to occur are considered. Justify why a certain hazard Likelihood of occurrence health effect (Yes/No) has been disregarded. Frequent (4) Can lead to serious Significant (16) Hazard likelihood is frequent, antibiotics used to illness (4) treat animals Could occur (2) Can cause illness (3) Insignificant (6) Last two years, there were no heavy metals identi- fied in incoming milk. This hazard is controlled by prerequisite programs for the analysis of incoming raw materials and finished products Instructions Likelihood of occurrence Severity of adverse Significant hazard Justification of hazard selection and assessment Defines the likelihood of health effect Defines whether the hazard occurrence. Defines the severity hazard is significant. of any adverse health For significant hazards, effect arising from select and categorize the hazard. control measures(s) on work sheet 5 (table 3.41). continued 156  ▪  FOOD SAFETY HANDBOOK Table 3.40  HACCP Work Sheet 4: Hazard Identification and Description (Continued) Location of potential hazard Hazard description Indicate the step (e.g., raw Describe clearly and specifically the hazards that are ­ reasonably expected to occur at each step: material, processing, or Class (B, P, C, or A), agent, size, origin, nature, etc. distribution) at which the hazard may be introduced. Hazardous Origin or Step agent Hazard source of Nature of the Acceptable level in Step no. (description) Hazard class description no. the hazard hazard end product 1 Raw milk B Salmonella, B1 Primary Presence, Absence receiving Staphylococcus milk introduction aureus, production L monocyto- (farm), 3 genes, Listeria, transpor- CHAPTER Shigella tation 1 Raw milk P Extraneous P1 Primary Presence Absence receiving material milk (e.g., stone, production glass) (farm), transporta- tion 1 Raw milk A Allergen A1 Primary Presence Always present receiving milk production (farm), transpor- tation 6 Pasteurization B Pathogenic B1 Primary Survival Absence micro milk organisms production Salmonella, (farm), S. aureus, personnel, L monocyto- work envi- genes ronment C Absence — — — — P Absence — — — — Instructions Step no. Step description Hazard class Hazardous Hazard Origin or Nature of the Acceptable level in Defines a Defines the title Defines the haz- agent no. source of hazard end product sequential or description of ard agent class: description Defines the hazard Defines particular Defines the acceptable number the process step. B (biological), Defines the the Defines hazard threats, level of the hazard as for each C (chemical), hazard con- hazard where and such as availabil- required by law or cus- process P (physical), trolled by the agent how the ity, capacity for tomer specifications. step. A (allergen). measure. code: B1, product or growth, survival, C1, P, A. environment allocation of toxins can become or toxic chemicals, contami- or migration of nated. chemicals. Food Safety Tools and Techniques: HACCP document templates for whole milk   ▪  157 Hazard assessment Justification of hazard selection and assessment Q1: Based on the hazard description, likelihood of occurrence (before Provide supporting data/references on likelihood applying the control measure), and severity of health effects, does this of occurrence, information on severity of health hazard need to be controlled, i.e., is it a significant hazard? effects, and acceptable level in end product. For each hazard, document why it is or why it is not likely to occur or to cause adverse health effects. For a nonsignificant hazard, document if it is managed, e.g., by a PRP, through a specification or major allergen declaration. Make sure that all hazards likely Severity of adverse Significant hazard? to occur are considered. Justify why a certain hazard Likelihood of occurrence health effect (Yes/No) has been disregarded. Rare (1) Can lead to serious Insignificant (4) Hazard is controlled by PRP (incoming raw illness (4) material and finished product) ­ CHAPTER Could occur (2) Can cause illness (3) Insignificant (6) Taking into account a moderate level of hygiene in primary milk production on the farm, there is a remote probability of encountering foreign objects in milk 3 Rare (1) Can lead to serious Insignificant (4) This hazard is controlled by the prerequisites illness (4) programs–allergen control procedure and men- tioned on the label as cow’s milk. This hazard is not insignificant for a consumer who may suffer from the allergy Could occur (2) Can lead to serious Significant (8) Pasteurization can be violated by the survival illness (4) probability of microorganisms in the milk, causing a severe health hazard — — — — — — — — Instructions Likelihood of occurrence Severity of adverse Significant hazard Justification of hazard selection and assessment Defines the likelihood of health effect Defines whether the hazard occurrence. Defines the severity hazard is significant. of any adverse health For significant hazards, effect arising from select and categorize the hazard. control measures(s) on work sheet 5 (table 3.41). 158  ▪  FOOD SAFETY HANDBOOK Work sheet 5: Control measure selection and categorization Work sheet 5 defines and documents the selection and categorization of control measures related to the haz- ards that have been identified (see work sheet B). The work sheet helps in determining whether the control measures need to be managed by the hazard control plan through OPRPs or CCPs. The hazard control, HACCP, or food safety team should identify and document the control measures that are to be applied or implemented if the hazard identification and hazard analysis conclude that the risk of an identified hazard is significant and needs to be eliminated, reduced, or controlled at an acceptable level. The team should conduct an assessment of every step in the process using a decision tree. The assessment should be based on several Table 3.41  HACCP Work Sheet 5: Control Measure Selection and Categorization Step and hazard Control measures Transfer the hazards considered significant in work sheet 4 to this Select and describe a control measure or combination work sheet (5) of control measures capable of preventing, eliminat- ing, or reducing the hazard to an acceptable level Document the rationale for the selection, e.g., 3 effectiveness of applied control measures alone or in combination against identified hazard (refer to CHAPTER documents if possible) Step Step Hazard Hazardous agent no. description no. description Description of control measures 1 Raw milk C1 Therapeutic drugs Control of raw milk to assure the absence of antibiot- receiving (­antibiotics: chloramphen- ics using express method (Delvotest) icol, tetracycline family, streptomycin, penicillin) 2 Raw milk P1 Extraneous foreign PRP (incoming raw material) -filtering and purity filtration material—glass control of raw milk –––– –––– –––– –––– –––– 6 Pasteurization B1 Pathogenic microorganisms Pasteurization –––– –––– –––– –––– –––– 8.3 Container E.coli There are no control measures cleaning with pasteurized/ treated water Instructions Step no. Step description Hazard Hazardous agent description Description of control measures Defines a Defines the title or no. Defines the hazard that is con- Describes the control measure or combination of control sequential description of the Defines trolled by the measure. measures taken to prevent, eliminate, or reduce hazards to an number process step. the hazard acceptable level. for each agent process code: B1, step. C1, P, A. Food Safety Tools and Techniques: HACCP document templates for whole milk   ▪  159 factors, including the differing expertise within the team and external and internal information. For each step, including all products and processes and all parts of the PRPs, the assessed aspects should be identified. The reasons for deciding whether CCPs are required or not should be documented and traceable. More than one control measure may be required to control a hazard, and more than one hazard may be controlled by a con- trol measure. Control measures may be classified as PRPs, OPRPs, or part of hazard control or HACCP plan. Each field on the work sheet contains instructions and guidance on the information or rating to be entered into the relevant fields (table 3.41). The work sheet also contains questions with answer options. In this case, the significance of the selection of each answer is explained. Categorization of control measures in OPRPs and CCPs (answer questions Q1 to Q5 as necessary) Q1: Based on the likelihood of occurrence (before applying the control measure) and the severity of adverse health effects (work sheet 4), is this hazard significant (needs to be controlled)? YES: This is a significant hazard. Go to Q2. NO: This is not a significant hazard. Q2: Will a subsequent processing step, including the expected use by the consumer, guarantee the removal of this CHAPTER ­significant hazard, or its reduction to an acceptable level? YES: Identify and name the subsequent step. NO: Go to Q3. Q3: Are control measures or practices in place at this step, and do they exclude, reduce, or maintain this ­significant hazard to/at an acceptable level? YES: Go to Q4. NO: Modify the process or product and go to Q1. Q4: Is it possible to establish critical limits for the control measure at this step? YES: Go to Q5. NO: This hazard is managed by an OPRP and action criteria. Q5: Is it possible to monitor or observe the control measure in such a way that corrections can be made immediately if there is a loss of control? YES: This hazard is managed by the hazard 3 control/HACCP plan (CCP). NO: This hazard is managed by an OPRP and action criteria. CCP, OPRP, Decision justification: provide supporting evidence that selected or process control measure(s) and target/critical limits or action criteria will Q1 Q2 Q3 Q4 Q5 modification adequately control the hazard Yes No Yes Yes Yes CCP 1 Express method allows testing for each batch of raw materials and detection of antibiotics in dairy raw materials Yes No Yes Yes No OPRP 1 Filtration of milk by filter with a cell diameter of 0.01 mm enables prevention of impurities in milk –––– –––– –––– –––– –––– –––– –––– Yes No Yes Yes Yes CCP 2 Pasteurization destroys some pathogenic microorganisms in milk or, at a minimum, reduces their number to an acceptable level—absence in 25 mg –––– –––– –––– –––– –––– –––– –––– Yes No No –––– –––– Process Process change needed; use pasteurized or additionally purified water modification Instructions Categorization of control measures in CCP, OPRP, Decision justification OPRPs and CCPs or process Notes the rationale behind the choice of a control measure or a combination of modification control measures. Provides questions that the hazard Identifies the control or HACCP team should answer, category of the giving a range of possible responses. control measure selected. 160  ▪  FOOD SAFETY HANDBOOK Work sheet 6: Validation of control measures Work sheet 6 defines and documents the FBO validation of the control measures identified in work sheet 5. Its purpose is to provide evidence that the control measure can achieve the targeted limits. The work sheet contains several questions that prompt for the type of information required. This is designed to elicit from the organization information about the effectiveness of the controls that the FBO has established to address each hazardous agent. Each field in the work sheet contains instructions or guidance on the information or rating to be entered (table 3.42). Table 3.42  HACCP Work Sheet 6: Validation of Control Measures The hazard control/HACCP team has to provide or ask for evidence that selected control measures are capable of achieving the intended control over the hazards identified. The hazard control/HACCP team leader shall provide answers to the following questions: • Have potential hazards been correctly identified as significant or not? • Are applied control measures capable of reducing the significant hazards to acceptable levels? • Are critical limits correct and appropriate? 3 • Will the corrections restore product safety control? CHAPTER CCP no. or Hazardous agent Justification for the selection OPRP no. Step description Control measure of control measures CCP 1 1 Therapeutic drugs: antibi- Control of raw milk for Rapid test allows quick deter- otics: tetracycline group, the absence of antibiotics mination of the presence of penicillin, streptomycin, using the Delvotest antibiotics in raw materials. chloramphenicol This methodology is approved and ensures test accuracy and reliability OPRP 1 2 Extraneous ­foreign Filtration and purity Filtration of milk on a filter cell material c ­ ontrol of raw milk with a diameter of 0.01 mm enables the prevention of impurities in the finished product CCP 2 6 Pathogenic microorgan- Pasteurization Pasteurization destroys some isms, including Salmonella, pathogenic microorganisms in S. aureus, L monocytogenes the milk or reduces their num- bers to an acceptable level Instructions CCP no. or Step Hazardous agent description Control measure Justification for the selection of OPRP no. Defines a Defines the hazard, that is con- Defines the control measures control measures Defines sequen- trolled by the measure. selected for this hazard. Defines whether the control measure numbers for tial functions in practice. the CCP and number OPRP. for each process step. Food Safety Tools and Techniques: HACCP document templates for whole milk   ▪  161 CHAPTER Checking control measure Justification for the effectiveness Critical limits (for CCP only) selection of critical limits Corrections Monthly check using the Absence Legislation for raw milk Return to supplier or enzyme-linked immuno­ disposal of milk 3 sorbent assay or high-performance liquid chromatography method Determination of purity Not applicable Not applicable Not applicable according to the standard Monthly microbiological Pasteurization temperature Technological instruction Flow diversion and analysis of the product not less than 85°C; time, not of pasteurized milk repasteurization less than 20 seconds Instructions Checking control measure Critical limits Justification for the selection Corrections effectiveness Defines the critical limits deter- of critical limits Defines the actions neces- Defines the extent to which the mined for this CCP. Defines the basis for determining sary to prevent a negative control measure is effective. the relevant critical limits. effect on food safety if a critical limit is exceeded; it also indicates the person responsible. 162  ▪  FOOD SAFETY HANDBOOK Work sheet 7: Hazard control plan Work sheet 7 (table 3.43) defines and documents the details of all CCPs and OPRPs and indicates the control mea- sures, critical limits, action criterion, and corrections taken, plus the verification events detailed in work sheet 8. Table 3.43  HACCP Work Sheet 7: Hazard Control Plan Critical limits and targets (or limits, if CCP no. applicable) or Hazard Step Step Hazardous agent that measure OPRP no. class no. description description Control measure(s) effectiveness CCP 1 C 1 Raw milk Therapeutic Control of raw milk 100% absence receiving drugs: antibiotics: for the absence of chloramphenicol, antibiotics using tetracycline family, the express method streptomycin, (Delvotest) penicillin 3 OPRP 1 P 2 Raw milk Extraneous foreign Raw milk filtering Not applicable CHAPTER filtration material—glass and purity control CCP 2 B 6 Pasteurization Pathogenic Control of tem- Pasteurization microorganisms, perature and pas- temperature not including S. aureus, teurization timing less than 85°C, L. monocytogenes time not less than 20 seconds Instructions CCP no. or Hazard Step no. Step description Hazardous agent Control measure(s) Critical limits OPRP no. class Defines a Defines the title or description Defines the control and targets (or Defines Defines sequen- description of the Defines the hazard con- measures selected for limits, if applica- the CCP the hazard tial process step. trolled by the measure. this hazard. ble) that measure and OPRP agent number effectiveness numbers. class: B for each Defines the critical (biological), process limits determined for C (chem- step. this CCP. ical), P (physical), A (allergens). Food Safety Tools and Techniques: HACCP document templates for whole milk   ▪  163 Monitoring how, Corrections, Corrective actions, Verification (details frequency, who? responsibilities responsibilities Records in work sheet 8) Delvotest, each Return of milk to Inform dairy farm Raw milk Control by immuno-​ batch, by quality supplier or environ- and veterinary service ­receiving log fluorescence specialist mental disposal of provider, identifying methods monthly product/ procure- reasons for therapeu- from each sup- ment manager tic drugs use/quality plier, laboratory manager technician CHAPTER Determination of Repeated filtering by Unannounced audit Filtering and Checking of cooling purity according to quality specialist of supplier coordi- ­cooling log log by laboratory standard, each batch, nated by the quality manager quality specialist manager Automatic registra- Stopping milk supply Checking technical Pasteurization Parameter control tion of pasteurization for filling, backflow, condition of the log, of reference thermo­ 3 temperature and and repasteurization device; checking thermogram meter hourly by time, visual inspec- of milk, pasteuriza- monitoring, and shift foreman and tion of temperature tion operator metering the instru- control of thermo­ indicator, continu- ment; pasteurization meter every shift by ously, by the pasteur- training for operator, microbiologist ization operator mechanical engineer, human resources manager Instructions Monitoring how, Corrections, Corrective actions, Records Verification ­frequency, who? responsibilities responsibilities Defines the Defines the verification of Defines the monitoring Defines the actions neces- Defines the actions neces- records to be the actions conducted. method, its frequency, and sary to prevent a negative sary to eliminate the rea- maintained. the person responsible. effect on food safety if a sons for exceeding critical critical limit is exceeded; limits, thereby preventing a it also cites the person repeated occurrence. responsible. 164  ▪  FOOD SAFETY HANDBOOK Work sheet 8: Verification plan Work sheet 8 defines and documents verification activities intended to substantiate the effectiveness of a haz- ard control plan in a particular case (table 3.44). The purpose is to provide evidence to show that the CCPs and OPRPs have been implemented properly. FBOs must establish, document, and implement procedures for the verification of the hazard control or HACCP system. The main purpose of the verification is to determine compliance with the specifications of the systems and to confirm that the systems are effective. Auditing methods, procedures, tests (including ran- dom sampling and analysis), and other evaluations, in addition to monitoring, are applied to accomplish this purpose. The verification procedures should be established and documented and should include, at a minimum, a purpose; methods, including standard operating procedures or the tests applied; tasks and responsibilities; frequency, and records. The procedures should address, at a minimum, the following topics: a review of the HACCP system and its corresponding records; an analysis of any product recalls and product dispositions; an assessment of all general control measures, nonconformities, and corrective actions taken to confirm effective control of the 3 CCPs; an assessment of all general control measures to seek confirmation of implementation and to demon- CHAPTER strate effective control of associated hazards; conformity of the actual flow diagrams and layout with the documented situation; conformity of OPRP and CCP documents with the operational situation; analysis of customer and consumer complaints related to hygiene and food safety; a review of analytical outcomes of random sampling and analysis of products; evaluation of compliance in the context of applicable legislation and regulations (as well as with foreseeable changes in legislation and regulations), identification of changes in the legislation and regulations concerning food safety; a review of the gaps between current and targeted levels of knowledge, awareness, and staff training with respect to hygiene and food safety, and the results in terms of effective on-the-job training sessions; and consistency of the current documentation. Food Safety Tools and Techniques: HACCP document templates for whole milk   ▪  165 Table 3.44  HACCP Work Sheet 8: Verification Plan CCP no. or OPRP Person no. Verification activity Verification procedure Frequency responsible Records CCP 1 Verify the input and Selective periodic Monthly for Food safety Register of efficiency control monitoring each supplier manager input control of raw milk in the Control of records Weekly Laboratory Laboratory absence of thera- manager technician peutic drugs workbook OPRP 1 Monitor implemen- Periodic control of clean- Weekly Laboratory Cleaning tation of the raw ing process and records manager and cooling material filtration for cleaning and cooling register procedure and its effectiveness CCP 2 Verify milk pas- Periodic control of pas- Control of Shift Milk pas- teurization and its teurization temperature reference ther- supervisor teurization CHAPTER effectiveness and and time mometer para­ register efficiency meters—hourly Periodic control of Control of Microbiologist Thermogram thermograms ­thermograms— every shift Peroxidase test Peroxidase test— Quality Peroxidase every shift specialist test register 3 Instructions CCP no. or Verification activity Verification procedure Frequency Person Records OPRP no. Defines the purpose of Defines the methods or Defines the fre- responsible Defines the Defines CCP the verification. procedures to be used, the quency with which Defines the individ- records to be and OPRP observations to be made, or the verification should ual, department, maintained. numbers. measurements and actions to be be conducted. or function respon- taken if there is a deviation, or sible for conduct- follow-up. ing verification. 166  ▪  FOOD SAFETY HANDBOOK Work sheet 9: Modification and follow-up Work sheet 9 defines and documents all modifications to the plan and tracks any follow-up steps resulting from these modifications. It references details on the process step and the hazard (table 3.45). Table 3.45  HACCP Work Sheet 9: Modification and Follow-Up Production process step Hazard description Modification Recommended Hazardous modification and Step Step Hazard agent Modification confirmation of Limit Provisional control no. description no. description no. transfer for action date measure(s) 8 Filling P1 Foreign 2 Implement control February None body of the packaged 20, 2018 milk with x-ray detector to reveal 3 foreign bodies CHAPTER 8.3 Handling B1 E. Coli 1 Used for rinsing February Increased to weekly contain- containers, pas- 20, 2018 the frequency of ers with teurized or addi- microbiological water tionally purified control of water water used Instructions Step Step Hazard Hazardous Modification Recommended mod- Limit date Provisional control no. description no. agent no. ification and confir- Defines the measure(s) Defines Defines Defines description Defines the mation of transfer planned Defines the immediate a the title or the haz- Defines the modification for action date for provisional (containment) sequen- description ard agent hazard that is number. Defines the recom- corrective control measure to be tial of the pro- code: B1, controlled by mended modification action. applied if modifica- number cess step. C1, P, A. the measure. and confirmation of tions have not yet been for each information to be trans- implemented. process ferred to the relevant step. department or group for action. Food Safety Tools and Techniques: HACCP document templates for whole milk   ▪  167 Work sheet 10: Meeting summary Work sheet 10 defines and documents meetings held by the hazard control, HACCP, or food safety team. It records attendance and the decisions of the meetings (table 3.46). Meetings of the team are an important form of information transfer, updating the entire team about the implementation and effectiveness of their food safety system. The team should have a defined plan for meetings, but, in the case of some unpredicted event, the team may hold unscheduled meetings. Table 3.46  HACCP Work Sheet 10: Meeting Summary Planned deadline, Persons completion Date Participants Purpose Outcome responsible date Performed February 1, G Moran Review/ Updated G Moran February 10, February 5, 2018 update the the ­product 2018 2018 O Brown product description CHAPTER M Rodrigues description B Jackson D Smith O Murphy C Flack N Williams 3 December 12, G Moran Verify No action G Moran December 22, December 20, 2018 the flow required 2018 2018 O Brown diagram, M Rodrigues compare B Jackson document versus D Smith practice O Murphy C Flack N Williams Instructions Date Participants Purpose Outcome Persons Planned dead- Performed Defines the Defines the Defines details Defines the responsible line, completion Defines the actual meeting date. team members on the reason for decisions made Defines the indi- date completion date. and invitees the meeting. at the meeting, viduals responsi- List the planned attending. for example, next ble for executing completion date. steps. decisions. 168  ▪  FOOD SAFETY HANDBOOK SUPPLEMENTARY WORK SHEETS Work sheet A: Hazardous agent codes and classification Work sheet A defines the guidelines for the food safety, hazard control, or HACCP team in assessing the haz- ards controlled through the hazard control plan (table 3.47). This is an optional activity in the implementation of the hazard control or HACCP plan. Table 3.47  HACCP Work Sheet A: Hazardous Agent Codes and Classification Hazard Ingredient or process no. Hazard class Hazardous agent description Raw milk B1 Biological Presence of vegetative pathogens (Salmonella, Staphylococcus aureus, L monocytogenes, Listeria, Shigella)   C1 Chemical Presence of therapeutic drugs—antibiotics: chloram- phenicol, tetracycline family, streptomycin, penicillin   C2 Chemical Presence of mycotoxins 3   C3 Chemical Presence of toxic elements (heavy metals) CHAPTER   P1 Physical Extraneous material (not less then 2 mm—glass, stone, and so on)   A1 Allergen Allergy to cow milk protein Pasteurized milk B1 Biological Presence of vegetative pathogens   B2 Biological Contamination of vegetative pathogens Other ingredients/­ B1 Biological Presence of vegetative pathogens packaging materials   C1 Chemical Presence of toxic or carcinogenic substances   P1 Physical Extraneous material Water B1 Biological E. coli Instructions Ingredient or process Hazard Hazard class Hazardous agent description Details the ingredient or no. Defines the ­hazard Defines the hazard that is controlled by the measure. process. Defines agent class: the hazard B (­biological), agent C (chemical); code: B1, P (physical, and C1, P, A. A (allergen). Food Safety Tools and Techniques: HACCP document templates for whole milk   ▪  169 Work sheet B: Hazard assessment table Work sheet B defines and documents the hazard assessment or risk assessment (table 3.48). Its purpose is to offer guidance to the FBO hazard control, HACCP, or food safety team in assigning risks associated with each hazard type. This guidance table is for reference or guidance purposes only; hence, there is no blank template. Table 3.48  HACCP Work Sheet B: Hazard Assessment Table Severity of           health effect Can cause 5           fatality Can lead to 4     Significant (controlled by OPRPs or CCPs) ­serious illness Can cause illness 3           CHAPTER Can cause 2 Insignificant     inconvenience (controlled by PRPs) Almost no 1 significance 3 Score 1 2 3 4 5 Rare Could occur Likely Frequent Very frequent (1/year) (1/6 months) (1/month) (1/week) (1/day) Likelihood of occurrence Note: The hazard assessment table helps separate significant from nonsignificant hazards and to document the decision. 170  ▪  FOOD SAFETY HANDBOOK Work sheet C: HACCP list of supporting documents Work sheet C cites details of reference documents (procedures and work instructions) associated with an FBO hazard control plan (table 3.49). Table 3.49  HACCP Work Sheet C: HACCP List of Supporting Documents Document title or Status and issue of the No. designation document Document developer Filing location 1 ISO 22000:2018 Valid from September 1, ISO Standardization 2005, first edition and Certification Office 2 ISO/TS 22002-1:2009 Valid from 2009 ISO Standardization and Certification Office 3 Enterprise standard Valid from January 1, Head of procurement Standardization 3 Interstate Milk Shippers 2011, first edition and logistics and Certification 008, Purchases of raw Office CHAPTER and auxiliary materials 4 Ministry of Health Valid from September 6, Ministry of Health Standardization (2009) 2009 and Certification Office Instructions No. Document title or Status and issue of the Document developer Filing location Provides the designation document Identifies the document author Records the storage sequential Defines the document number Indicates the date published or publisher. location and where number and title. and, if needed, the document the document can be assigned to issue. found. each docu- ment in the register. Food Safety Tools and Techniques   ▪  171 Two other analysis and critical control point systems Threat assessment and critical control point (TACCP) and vulnerability assessment and critical control point (VACCP) are relatively new programs based on the HACCP program. They address threats and vulnerabili- ties, respectively. The FSMSs developed by industry and regulators and based on HACCP principles have been proven effective against unintended food safety hazards. The principles have not been routinely used to detect or mitigate deliberate attacks, however, and are therefore not as relevant to food defense. The aim of food defense is to control intentional food safety hazards that may cause harm to consumers or companies. Thus, threats, in the case of TACCP, signify, for example, food tampering, intentional adulteration of food, and food defense. Although, at several points, TACCP and HACCP overlap, such as in recommendations on the use of tamper-proof seals and various quality control checks, TACCP systems generally require more substantial employee involvement relative to HACCP because the former cover issues that arise in food man- ufacturing or that entail transportation security, information technology security, and employee background checks. CHAPTER VACCP systems, meanwhile, also focus on food fraud, but widen the scope of analysis and assessment to include the systematic prevention of any potential adulteration of food, whether intentional or not, by iden- tifying the vulnerable points in a supply chain. It is especially concerned with economically motivated adul- teration. Examples of topics of interest in a VACCP system include product substitution, unapproved product enhancements, counterfeiting, and trade in stolen goods. 3 TACCP and VACCP, similar to HACCP, each require a control plan that covers mitigation strategies and cor- rection procedures. The programs may also require audits of an entire supply chain, assessments of suppliers, and extensive quality control checks on ingredients. Annex 3A furnishes more information on TACCP, along with sample TACCP work sheets. Annex 3B p ­ rovides a table highlighting brief explanations and definitions of various issues, concerns, and initiatives typically involved in a VACCP system. Editable work sheets and templates can be found at the following location: http://www.ifc.org/foodsafety/handbook/templates. Chapter 4 supplies a sample food defense procedure that additionally clarifies HACCP, TACCP, and VACCP. The procedure is labeled SOP-044, that is, standard operating procedure 044. 172  ▪  FOOD SAFETY HANDBOOK Annex 3A. Instructions and sample work sheets: Threat assessment and critical control point WS 1  Overview and Guide: TACCP Work Sheets Supplementary Main work sheets Comments work sheets WS 1 Registration and approval of the TACCP study Overview and guide: TACCP work sheets WS 2 Details of TACCP instructions TACCP instructions and content WS 3 Scope of the TACCP study and SOP Threat and vulnerability scope WS 4 Most common definitions related to 3 Terms and definitions a TACCP study CHAPTER WS 5 Threat assessment critical Aim and process for the TACCP study control point (TACCP) WS 6 Categories of TACCP threats and examples Types of threats and case study examples WS 7 General outline of the attacker relevant to the Understanding the attacker TACCP study WS 8 Outline of process for assessing threats, Assessing threats, vulnerabilities, and risk vulnerabilities, and risk assessment rating system WS 9 Overview of current controls related to the site Critical controls for consideration WS 10 High-level overview of roles and responsibilities Response to an incident responding to an incident WS A Details of TACCP team Site team WS B Computer-aided design (CAD) drawing showing Site plan FBO site map layout including boundaries WS C Product process flow diagram Flow diagram WS D Categories of threats relevant to the site and Types of threats examples WS E Site self-assessment. This is for illustrative TACCP site self-assessment purposes only. It is not complete. WS F Catalog and list of risks related to the site Site threat identification WS G High-level site risk register Risk register WS H Threat decision tree Threat decision tree Food Safety Tools and Techniques: TACCP document templates   ▪  173 WS 2  TACCP Instructions and Content No. Item Description Link to sheet in WS 1 1 TACCP team Identify the TACCP team and responsibilities. The A. SITE TEAM TACCP team should be separate from the HACCP team. 1.1 Training material Ensure all TACCP team members are trained in the   following principles: • Scope of the assessment SCOPE • Terms and definitions DEFINITIONS • Aim of TACCP TACCP AIM • Types of threats to consider THREATS • Understanding the attacker THE ATTACKER • Assessing threats and risk assessment procedures ASSESSING THREATS • Critical controls in relation to TACCP CRITICAL CONTROLS CHAPTER • Response to an incident RESPONSE TO AN INCIDENT 2 Site plan Insert a site plan including access/entry points and B. SITE PLAN external site perimeter. 3 Process flow Update the process flow from raw material C. FLOW DIAGRAM purchase to delivery to customer. Site must include ­ 3 ALL steps where a threat or risk is present to the product. Please note this is not an HACCP flow ­ chart—­ consider only the steps with intervention that may pose a threat to the product. Consider the supply chain prior to entering the site and post site including third-party storage and haulage. ­ 4 Site types of Site to identify all types of threats relevant to their D. TYPES OF THREATS threats site and raw materials. Update as necessary to be completed by the TACCP team. 5 Site Site TACCP to complete a self-assessment based E. TACCP SITE self-assessment on the systems currently in place at the site. Each SELF-ASSESSMENT point to be rated as compliant, improvement, or weakness. All areas of improvement and weakness must be detailed on the site threat page and controls detailed on the risk register. Site to update this page as gaps are closed. 6 Site threat identi- Update with risks that are applicable to your site. F. SITE THREAT fication and risk This list is not exhaustive. Please consider and insert IDENTIFICATION assessment any additional threats relevant to your site to this sheet. 7 Risk register Detail all risks relevant to site following assessment G. RISK REGISTER and short-, medium-, and long-term controls to mitigate risk that will be completed. 8 Threat decision Threat decision tree which will determine if a threat H. THREAT DECISION tree is controlled via the prerequisite program, a critical TREE control, or vulnerable threat point. 174  ▪  FOOD SAFETY HANDBOOK WS 3  Threat and Vulnerability Scope TACCP background A core element to the defense of food is a systematic evaluation of vulnerable elements of the supply chain carried out by an experienced and trusted team. This has been called the threat assessment critical control point. The evaluation reflects established procedures for risk management, and it is likely that organizations will increasingly incorporate it into crisis and/or business continuity management frameworks. One of the major guiding documents for TACCP is the PAS 96:2014, which was originally developed in 2008 by the Centre for the Protection of National Infrastructure (CPNI) in consultation with food manufacturers (such as Heinz, Kellogg, and Kraft), organizations (including the Food Standards Agency, National Farmers Union, and Food and Drink Federation), and retailers (such as Sainsbury’s, Tesco, and Marks & Spencer). At the 2013 GFSI conference in Barcelona, Spain, Terry Donohoe from the Food Standards Agency gave a talk on the identification of future food safety risks that specifically mentioned TACCP, the PAS 96, and the need to look for threat points, hazard points, and value points in the process of ensuring safe food. Scope 1.0 Food security programs 3 2.0 Outside grounds and roof CHAPTER 3.0 Employee and visitor programs 4.0 Material receiving 5.0 Facility operations 6.0 Finished goods storage/shipping Procedure Assessment of the risks through the process to identify potential threats, identification of vulnerabilities, and implementation of controls to raw materials, packaging, finished products, processes, premises, distribution networks, and business systems Form the TACCP team Horizon scanning Review Identify threat and Assess terms and control points on definitions and any site plan new information Transfer any vulnerable threat point (VTP) to Consider the the risk register and potential threats confirm short-/mid-/ for the site long-term plans What are the threats? Who could the attacker be? Use the threat decision Score likelihood × tree for any score 6 or Create the site flow impact (1–5) above to determine if What are the a PRP, CCP, or VTP vulnerabilities? What is the opportunity? Sources: PAS 96:2014 and AIB Food Defence Guidelines 2010. Food Safety Tools and Techniques: TACCP document templates   ▪  175 WS 4  Terms and Definitions 2.1 Cybersecurity Procedures used to protect electronic systems from sources of threat NOTE: Examples of these threats are from malware and hackers intent on misusing information technology (IT) systems, corrupting them, or putting them out of use. 2.2  Food defense Procedures adopted to assure the security of food and drink and their supply chains from malicious and ideologically motivated attack leading to contamination or supply disruption 2.3  Food fraud Committed when food is deliberately placed on the market, for financial gain, with the intention of deceiving the consumer NOTE 1: Although there are many kinds of food fraud the two main types are • The sale of food which is unfit and potentially harmful, such as —— Recycling of animal by-products back into the food chain —— Packing and selling of beef and poultry of unknown origin —— Knowingly selling goods which are past their “use by” date CHAPTER • The deliberate misdescription of food, such as —— Products substituted with a cheaper alternative, for example, farmed salmon sold as wild, and basmati rice adulterated with cheaper varieties —— Making false statements about the source of ingredients, that is, their ­ geographic, plant, or animal origin 3 NOTE 2: Food fraud may also involve the sale of meat from animals that have been stolen and/or illegally slaughtered, as well as wild game animals like deer that may have been poached. 2.4  Food protection Procedures adopted to deter and detect fraudulent attacks on food 2.5  Food supply Elements of what is commonly called a food supply chain 2.6 Hazard Something that can cause loss or harm which arises from a naturally occurring or accidental event or results from incompetence or ignorance of the people involved ­ 2.7 Hazard analysis System which identifies, evaluates, and controls hazards critical control point ­ 2.8 Insider Individual within or associated with an organization and with access to its assets but who may misuse that access and present a threat to its operations 2.9  Personnel security Procedures used to confirm an individual’s identity, qualifications, experience, and right to work, and to monitor conduct as an employee or contractor NOTE 1: Not to be confused with “personal security.” NOTE 2: Personnel security principles are used to assure the trustworthiness of staff inside an organization, but may be applied to the staff of suppliers within processes for vendor accreditation. 2.10 Threat Something that can cause loss or harm which arises from a naturally occurring or accidental event or results from incompetence or ignorance of the people involved ­ NOTE: Threat is not used in the sense of threatening behavior or promise of ­ unpleasant consequence of a failure to comply with a malicious demand. 2.11  Threat assess- Systematic management of risk through the evaluation of threats, identification of ment critical control vulnerabilities, and implementation of controls to materials and products, purchasing, point (TACCP) processes, premises, distribution networks, and business systems by a knowledgeable and trusted team with the authority to implement changes to procedures 176  ▪  FOOD SAFETY HANDBOOK WS 5  Threat Assessment Critical Control Point (TACCP) 3.1 TACCP aim • Reduce the likelihood (chance) of a deliberate attack • Reduce the consequences (impact) of an attack • Protect organizational reputation • Reassure customers, press, and the public that proportionate steps are in place protect food to ­ • Satisfy international expectations and support the work of trading partners • Demonstrate that reasonable precautions are taken and due diligence is exercised in protecting food by, in broad terms: • Identifying specific threats to the company’s business • Assessing the likelihood of an attack by considering the motivation of the prospective attacker, the vulnerability of the process, and the opportunity and the capability they have of carrying out the attack 3 • Assessing the potential impact by considering the consequences of a successful attack • Judging the priority to be given to different threats by comparing their likelihood and CHAPTER impact • Deciding upon proportionate controls needed to discourage the attacker and give early notification of an attack • Maintaining information and intelligence systems to enable revision of priorities 3.2 Process TACCP must be a team activity and consider the following four possibilities: • Who might want to attack us? • How might they do it? • Where are we vulnerable? • How can we stop them? The TACCP team should: • Evaluate all new information which has come to its attention; • Identify individuals and/or groups which may be a threat to the organization and assess their motivation, capability, and determination; • Identify individuals and/or groups which may be a threat to the specific operation (e.g., premises, factory, site); • Select a product which is representative of a particular process; • Identify individuals and/or groups that may want to target the specific product; • Draw a process flow chart for the product; • From an examination of each step of the process, identify the vulnerable points where an attacker might hope for success, and the people who would have access; • Identify possible threats appropriate to the product at each step and assess the impact that the process may have in mitigating the threats; NOTE 1: Model adulterants include low-cost alternative ingredients to premium components; model contaminants could include highly toxic agents, toxic industrial chemicals, readily available noxious materials, and inappropriate substances like allergens or ethnically unwholesome foodstuffs. NOTE 2: For example, cleaning may remove the contaminant, heat treatment may destroy it, and other food components may neutralize it. continued Food Safety Tools and Techniques: TACCP document templates   ▪  177 WS 5  (Continued) 3.2 Process • Select the points in the process where the threat would have the most effect, and (continued) where they might best be detected; • Assess the likelihood of routine control procedures detecting such a threat; NOTE: For example, routine laboratory analysis could detect added water or unusual fats and oils; effective management of buying would challenge unusual purchase orders. • Score the likelihood of the threat happening, score the impact it would have, and chart the results to show the priority it should be given; NOTE: The TACCP team might ask, “If we were trying to undermine our business, what would be the best way?” It may consider how an attacker selects attack materials: • Availability • Cost • Toxicity CHAPTER • Physical form • Safety in use, for example, pesticides on farms and aggressive flavor materials in factories may be convenient contaminants • Where the priority is high, identify who has unsupervised access to the product or process and whether they are trustworthy, and if that trust can be justified; ­ • Identify, record confidentially, agree on, and implement proportionate preventive 3 action (critical controls). The TACCP team should have a confidential reporting and recording procedure that allows management action on decisions but does not expose weaknesses to those without a need to know; ­ • Determine the review and revise arrangements for the TACCP evaluation; and NOTE: Review of the TACCP evaluation should take place after any alert or annually, and at points where new threats emerge or when there are changes in good practice. • Maintain a routine watch of official and industry publications which give an early warning of changes that may become new threats or change the priority of existing ­ threats, including more local issues as they develop. 178  ▪  FOOD SAFETY HANDBOOK WS 6  Types of Threats and Case Study Examples 4.1 General Deliberate acts against food and food supply take several forms. Clause 3 describes the characteristics of the main threats to food authenticity and safety—economically motivated adulteration (EMA) and malicious ­contamination—and outlines the nature of other threats. 4.2 Case 1 In 2013, allegations were reported that a food factory in Asia was labeling cook- Economically ing oil as peanut, chili, and olive when it contained none of these oils. motivated Case 2 A 2013 report suggested that one-third of retail fish in the United States was adulteration ­ mislabeled. Examples included tilapia sold as red snapper and tilefish sold as (EMA) halibut. Case 3 In 2010, some producers of buffalo mozzarella in Italy were accused of adultera- tion of their product with cow’s milk. Case 4 Staff for a European meat packer felt, mistakenly, that they could avoid a prod- uct being condemned as carrying foot-and-mouth disease by covering it with disinfectant. A core element to the defense of food is a systematic evaluation of vulnerable 3 elements of the supply chain carried out by an experienced and trusted team. CHAPTER This has been called the threat assessment critical control point (TACCP). The evaluation reflects established procedures for risk management, and it is likely that organizations will increasingly incorporate it into crisis and/or business continuity management frameworks. 4.3 Malicious Case 5 In 2005, a major British bakery reported that several customers had found glass contamination fragments and sewing needles inside the wrapper of loaves. Case 6 In 1984, the Rajneeshee sect in Oregon attempted to affect the result of a local election by contaminating food in 10 different salad bars, resulting in 751 people affected by Salmonella food poisoning. Case 7 In 2013, a major soft drink supplier was forced to withdraw products from a key market when it was sent a bottle which had had its contents replaced with min- eral acid. The attackers included a note indicating that more would be distributed to the public if the company did not comply with their demands. Case 8 In 2007, a bakery found piles of peanuts in the factory. It withdrew product and closed for a week-long deep clean to reestablish its nut-free status.   The motivation for malicious contamination may be to cause localized (see case 5) or widespread (see case 6) illness or death. In case 6, the attacker did not want the contamination to be detected before the food was consumed, therefore the contaminant had to be an effective toxin with little effect on the palatability of the food. The motivation in case 7 was publicity. Public opinion would have been against the attackers if harm had been caused to members of the public, but the supplier could not take that risk. Materials which could be used by an attacker to gain publicity, or to extort money, are more readily found than those needed to cause widespread harm. The case of allergens (see case 8) shows the harm, impact, and cost that can be caused to a business with little risk to the attacker. Contamination close to point of consumption or sale, as in case 6, is more likely to cause harm to health than is an attack on crops or primary ingredients. continued Food Safety Tools and Techniques: TACCP document templates   ▪  179 WS 6  (Continued) 4.4 Extortion Case 9 In 1990, a former police officer was convicted of extortion after contami- nating baby food with glass and demanding money from the multinational manufacturer. Case 10 In 2008, a man was jailed in Britain after being convicted of threatening to bomb a major supermarket and contaminate its products.   The motivation for extortion by either an individual or group is financial, to obtain money from the victim organization. Such activity is attractive to the criminal mind when the product, like baby food (see case 9), is sensitive or where a company is seen as rich (see case 10). A small number of samples can be used to show the company that the attacker has the capability, and is enough to cause public concern and media interest. 4.5 Espionage Case 11 One business consultancy uses the theft of the intellectual property of a fictitious innovative snack product as an example of commercial espionage. Case 12 In July 2014, Reuters reported that a woman was charged in the United States with attempting to steal patented U.S. seed technology as part of a plot to CHAPTER smuggle out types of specialized corn for use in China. The primary motivation of espionage is for competitors seeking commercial advantage to access intellectual property. They may infiltrate using insiders to report, or they may attack remotely through IT systems. Alternatively, organiza- tions may try to entice executives to reveal confidential information or use covert recording to capture such material, or they may simply steal the material, as case 12 suggests. 3 4.6 Case 13 In 2013, enforcement officers seized 9,000 bottles of fake Glen’s Vodka from an Counterfeiting illegal factory. Case 14 In 2011, 340 bottles of a famous Australian brand of wine were seized, following complaints of poor quality to the owner, which had no link with Australia.   The motivation for counterfeiting is financial gain, by fraudulently passing off inferior goods as established and reputable brands. Both organized and petty crime can cause companies financial loss and harm to their reputation. The for- mer, for example, can use sophisticated printing technologies to produce product labels that are indistinguishable from the genuine ones. The latter can steal genuine packs or even refill single-use containers for resale. Organized criminals may try to mimic the food contents closely to delay detection and investigation. Petty criminals may be tempted by a “quick killing” and be less concerned about the safety of the food. 4.7 Cybercrime Case 15 In 2014, Financial Fraud Action UK advised restaurant managers to stay vigilant because fraudsters were attempting to target their customers in a new phone scam. They phoned restaurants claiming there was a problem with their card payments system; the restaurant was then told to redirect any card payments to a phone number provided by the fraudster.   Modern information and communications technologies provide new opportuni- ties for malpractice. In the U.K. for the year ending February 2013, Action Fraud received 58,662 cyber-enabled fraud and 9,898 computer misuse crime reports representing 41 percent of all of its reports, with an average loss of £3,689,16. In case 15 the fraudster aims to defraud both business and consumer. It is com- mon for the attacker to try and exploit individual ignorance of the technologies involved. Identity theft is perhaps more familiar to the public, but organizations may be aware of their identity being stolen to enable procurement fraud, in which goods are ordered in their name but diverted to the fraudsters’ premises, leaving the organizations to carry the cost and litigation. 180  ▪  FOOD SAFETY HANDBOOK WS 7  Understanding the Attacker 5.1 General The success of a deliberate attack on food or food supply depends on several things: • Does the attacker have the motivation and drive to overcome the obvious, and less obvious, blocks to their actions? If the blocks seem massive and success seems unlikely, many would-be attackers would seek an easier target. • Does the attacker have the capability to carry out the attack? A group is more likely to find the resources and learn the skills needed. • Does the attacker have the opportunity to carry out the attack? A physical attack needs physical access to the target, but a cyberattack may only need access to a computer. • Would the attacker be deterred by the chance of detection and/or any potential penalties? 5.2 The extortionist The extortionist wants to gain financially from an attack but does not want to be caught, and concentrates on avoiding detection. Their target is more likely to be a high-profile business with lots to lose from negative publicity. They may work alone and be resourceful, secretive, and self-interested. Some individuals may claim to be 3 able to take action against a business while lacking the capability to carry it out; the CHAPTER business may judge the claim as not credible but still report and respond seriously. 5.3 The opportunist The opportunist may hold an influential position within an operation to be able to evade internal controls. They may have some technical knowledge but their main asset is access. They are likely to be discouraged by the chance of detection, so unannounced visits by customers or auditors, or ad hoc sampling for analysis, may deter their actions. A supplier who cannot risk failure to deliver to a customer may take the chance that occasional adulteration would not be detected. Success on one occasion may make it easier to attempt a repeat. Opportunists may persuade themselves that the adul- teration is legitimate, for example, chicken in a pork sausage would still be meat. 5.4 The extremist The extremist takes their cause or campaign so seriously that they distort its con- text and overlook wider issues. The dedication to their cause may have no limits, and their determination to progress it can be great. Extremists may want to cause harm and are likely to enjoy publicity after the event. It may not matter, and may be a benefit, if they themselves are harmed. The risk of failure is a deterrent, but the risk of capture after the event is not. They are typically resourceful and innovative in devising ways to attack. Some single-issue groups may want to disrupt business operations and reputation but fear that mass harm to the public would damage their cause and lead them to lose support. 5.5 The irrational Some individuals have no rational motive for their actions. Their priorities and pre- individual occupations have become distorted so they are unable to take a balanced view of the world. Some may have clinically diagnosed mental health issues. This individual may be readily deterred by simple steps which prevent them from gaining access to their target or make detection easy. 5.6 The disgruntled The disgruntled individual believes that an organization has been unfair to them individual and seeks revenge. For example, they may be an aggrieved employee or former employee, supplier, or customer. They may have expert knowledge of the operation and access to it. This attacker is likely to be an individual rather than part of a group. If an insider, they could be dangerous, but are more likely to want to cause embar- rassment and financial loss than harm to the public. If not an insider, this individual is more likely to claim or boast of having done something than actually being able to do it. continued Food Safety Tools and Techniques: TACCP document templates   ▪  181 WS 7  (Continued) 5.7 The hacktivist and A hacktivist or other cybercriminal aims to subvert controls on computerized other cybercriminals information and communications systems in order to stop them from working effectively, to steal or to corrupt data which they hold, and/or to disrupt Internet business. Their motivation may be criminal, but may also be to demonstrate their expertise and ability to beat any protective system devised to stop them. This type of attacker has information and communications technology expertise that can cause commercial harm and may pose an increasing threat to food safety as Internet activity increases. 5.8 The professional Organized crime may see food fraud as a relatively simple crime, with big gains criminal in prospect, little chance of apprehension, and modest penalties if convicted. The global trade in food in which food materials move, often with little notice, across enforcement area borders appears to encourage the professional criminal. They may be deterred by close collaboration between food operations and national and international police authorities. CHAPTER WS 8  Assessing Threats, Vulnerabilities, and Risk 6.1 Assessing The product, the premises, and the organization can be the target of an attack from a range threats of groups and individuals. The TACCP team should consider suppliers under financial stress, 3 alienated employees and former employees, single-issue groups, local pressure groups, commercial competitors, media organizations, terrorists, and individuals (see Clause 4), and each element should be assessed separately. Commonly, a short supply chain involving fewer people may be less risky than a longer supply chain. The TACCP team could ask the following questions. For the product: • Have there been significant cost increases which have affected this product? • Does this product have particular religious, ethical, or moral significance for some people? • Does the product contain ingredients or other material sourced from overseas? For the premises: • Are the premises located in a politically or socially sensitive area? • Do the premises share access or key services with controversial neighbors? • Are new recruits, especially agency and seasonal staff, appropriately screened? • Are services to the premises adequately protected? • Are external utilities adequately protected? • Are hazardous materials, which could be valuable to hostile groups, stored on-site? • Are large numbers of people (including the general public) using the location? • Do any employees have reason to feel disgruntled or show signs of dissatisfaction? • Are internal audit arrangements independent? • Have key roles been occupied by staff for many years with little supervision? continued 182  ▪  FOOD SAFETY HANDBOOK WS 8  Assessing Threats, Vulnerabilities, and Risk (Continued) 6.1 Assessing For the organization: threats • Are we under foreign ownership by nations involved in international conflict? (continued) • Do we have a celebrity or high-profile chief executive or proprietor? • Do we have a reputation for having significant links, customers, suppliers, and so on, with unstable regions of the world? • Are our brands regarded as controversial by some? • Do we or our customers supply high-profile customers or events? Consideration of responses to these questions can give an understanding of the impact of a successful attack and the likelihood of its taking place. This informs a judgment on the ­ proportionate level of protection required. 6.2 Assessing Economically motivated adulteration (EMA) vulnerabilities A typical feature of EMA is the substitution of a low-cost item in place of a relatively high- cost component/ingredient. The TACCP team needs to be alert to the availability of such 3 ­alternatives. An example where this may happen is when added value is claimed, (e.g., organic, non-GMO, locally grown, free range, or with protected designations of origin). CHAPTER The attacker is likely to have ready access to lower-value equivalents, which are almost ­indistinguishable. The TACCP team needs to be confident that its own operations and those of its suppliers are in trustworthy hands. This can be achieved using advice on personnel security. Questions that the TACCP team could ask include • Are low-cost substitute materials available? • Have there been significant material cost increases? • Has pressure increased on suppliers’ trading margins? • Do you trust your suppliers’ managers, and their suppliers’ managers? • Do key suppliers use personnel security practices? • Do suppliers think that we monitor their operation and analyze their products? • Are we supplied through remote, obscure chains? • Are major materials becoming less available (e.g., from crop failure) or alternatives plentiful (e.g., from overproduction)? ­ • Have there been unexpected increases or decreases in demand? • How do suppliers dispose of excessive amounts of waste materials? • Are we aware of shortcuts to the process which could affect us? • Are our staff and those of suppliers encouraged to report concerns (whistleblowing)? • Are accreditation records, certificates of conformance, and analysis reports independent? Malicious contamination ­ uppliers Questions that the TACCP team could ask of both its own operations and that of its s include • Are food safety audits rigorous and up-to-date? • Are personnel security procedures in use? • Is access to product restricted to those with a business need? continued Food Safety Tools and Techniques: TACCP document templates   ▪  183 WS 8  (Continued) 6.2 Assessing Malicious contamination (continued) vulnerabilities • Do storage containers have tamper-evident seals? (continued) • Is the organization involved with controversial trade? • Is the organization owned by nationals from conflict areas? • Is there opportunity for access by sympathizers of single-issue groups? • Do any employees bear a grudge against the organization? • Is staff boredom, discipline, or recruitment a problem? • Have business competitors been accused of espionage or sabotage? 6.3 Assessment Organizations need to understand the threats that they face, but should focus attention on of risk the priority ones. For each identified threat, the TACCP team considers and gives a score for the likelihood of each threat happening and for its impact. Likelihood of threat CHAPTER happening/detection Score Impact of threat Rare 1 Trivial Unlikely 2 Minor Possible 3 Moderate Likely 4 Major 3 Almost certain 5 Severe The likelihood of a threat happening can be judged by considering • Whether an attacker would achieve their aims if successful • Whether an attacker could have access to the product or process • Whether an attacker would be deterred by protective measures • Whether an attacker would prefer other targets • Whether an attack would be detected before it had any impact The impact might be assessed in financial terms or in terms of the seniority of staff needed to deal with it. The level of risk is determined using the table below, and appropriate controls should be put in place on the risk register to mitigate the risk. 5 C B A A A 4 D C B B A Impact 3 E D C C B of threat 2 E D D C B 1 E E D C C 1 2 3 4 5 Likelihood of threat happening/detection Very high risk Threat A High risk Threat B Moderate risk Threat C Low risk Threat D Trivial risk Threat E 184  ▪  FOOD SAFETY HANDBOOK WS 9  Critical Controls for Consideration 7.1 If prospective attackers have no access to their target, then their attack cannot take place. It is not possible or Controlling desirable to prevent all access, but physical measures may limit access to certain individuals and those with a access legitimate need. For consideration: Access to premises: • Access to people on business only • Vehicle parking outside perimeter • Premises zoned to restrict access to those with a business need • Visible and comprehensive perimeter fencing • Closed-circuit television (CCTV) monitoring/recording of perimeter vulnerabilities Access to vehicles: • Monitored access points • Approach roads traffic calmed • Scheduled deliveries • Documentation checked before admittance • Missed deliveries investigated Access to people: • Controlled access 3 • Changing facilities separate personal clothing from workwear • Screening of visitors CHAPTER • By appointment only • Proof of identity required • Accompanied throughout • Positive identification of staff and visitors • CCTV monitoring/recording of sensitive areas Other aspects: • Secure handling of mail • Restrictions on portable electronic and camera equipment • Limitations on access to main services • BS ISO/IEC 27000-compliant cybersecurity 7.2 Tamper Much raw material storage, some product storage, most distribution vehicles, and all packaged foods can be detection tamper evident. Should an attacker gain access, tamper evidence gives some chance that the attack may be detected in time to avoid the impact. Detecting tampering: • Numbered seals on bulk storage silos • Numbered seals on stores of labels and labeled packs • Effective seals on retail packs • Numbered seals on hazardous materials • Close stock control of key materials • Recording of seal numbers on delivery vehicles • Secure usernames and passwords for electronic access • Incursion reporting by cybersystems 7.3 Assuring Personnel security guidance is used to mitigate the insider threat to the organization. Its principles can also be used personnel by food businesses to judge whether key staff within the organizations that supply goods and services can be trusted security to comply with specifications and procedures, and to work in the best interest of both the supplier and customer. Preemployment checks: • Proof of identity • Proof of qualifications • Verification of contractors • More sensitive roles identified with appropriate recruitment Ongoing personnel security: • Staff in critical roles motivated and monitored • Whistleblowing arrangements • Temporary staff supervised • Individuals able to work alone • Favorable security culture End of contract arrangements: • Access and ID cards and keys recovered • Computer accounts closed or suspended • Termination interview to assess security implications Food Safety Tools and Techniques: TACCP document templates   ▪  185 WS 10  Response to an Incident 8.1 Management ­ liminate it, Food protection and defense procedures aim to reduce the risk of an attack but cannot e of a food protec- so emergency response and business continuity protocols are essential. tion crisis Food protection sits within our business’s crisis management system and shares its general objectives: • To minimize physical and financial harm to consumers, customers, employees, and others • To collaborate with investigatory and enforcement authorities • To gain public support for the organization • To minimize the cost—financial, reputational, and personal—of the incident • To prevent reoccurrence • To identify offenders Where contamination is implicit, quarantine and maybe withdrawal and recall of the product might be expected. Each incident will be assessed with the site TACCP team, the quality assurance cluster lead, and other teams such as the supplier quality and food safety team, as required. All raw material nonconformances are logged in the Raw Materials NC database. CHAPTER WS A  Site Team Name Position Knowledge, experience, and training G Moran Food safety manager BA in English 15 years’ experience in the pharmaceutical and food industry 3 4+ years in dairy nutrition HACCP level 6 ISO 22000/FSSC 22000 auditor/lead auditor PCQI auditor training TACCP, food defense, biovigilance, and bioterrorism training O Brown Hygienist/ MS in analytical chemistry microbiologist 20 years in the food industry 4+ years in dairy nutrition HACCP level 5 ISO 22000/FSSC 22000 internal auditing M Rodrigues Milk processing BA in English manager 8 years’ experience in the food industry 4+ years in dairy nutrition HACCP level 6 ISO 22000/FSSC 22000 internal auditing B Murphy Laboratory manager PhD in microbiology 8 years’ experience in the food industry 4+ years in dairy nutrition HACCP level 6 ISO/IEC 17025:2017 ISO 22000/FSSC 22000 internal auditing D Small Warehouse manager BA in English 20 years’ experience in the food industry HACCP level 5 ISO 22000/FSSC 22000 internal auditing O Murphy Engineering manager BA in English 12 years’ experience in the food industry HACCP level 5 ISO 22000/FSSC 22000 internal auditing C Flack Factory manager BA in English 15 years’ experience in the food industry HACCP level 5 ISO 22000/FSSC 22000/BRC internal auditing 186  ▪  FOOD SAFETY HANDBOOK WS B  Site Plan Please insert a site plan including access/entry points and external site perimeter. 3 CHAPTER Food Safety Tools and Techniques: TACCP document templates   ▪  187 WS C  Flow Diagram 1 Raw milk receiving 2 Raw milk storage 3 Raw skim storage Raw cream storage Clarifier/separator Vitamin 4 CHAPTER fortification Normalization 5 Homogenization Pasteurization 3 6 Pasteurization storage 7 Packaging supplies Filler 8 Cold storage 9 Distribution/logistics 188  ▪  FOOD SAFETY HANDBOOK WS D  Types of Threat Site address Joe Bloggs LLC Site information Date March 17, 2019 Product details Grade A whole milk Threats to company Number from Possible method of operation Comments Criminals Counterfeiting, misappropriation Risk to brand of packaging Company buyers Fraud, collusion with suppliers Supplier assessments, audits, and questionnaires Hactivists Attack on website Security in place Threat to location from Disgruntled staff Petty contaminaton, potential No agency staff employed 3 serious malicious contamination on-site Frontline staff Theft, collusion with customers Security checks on entering and CHAPTER exiting the site Neighbors Secured access Threat to product from Microbiological Pathogens, viruses, toxins, Potential threats parasites Allergens Per EU legislation, milk, gluten Potential threats (wheat, rye, barley, oats), celery, egg, fish, crustacean, mollusks, sesame, soya, lupin, mustard, nuts, peanuts, and sulfites Chemical Antibiotics, mycotoxins, Potential threats ­packaging contaminants, pesticides, cleaning chemicals, lubricants, ink, medical chemicals, fertilizers, heavy metals, coloring, and flavors Radiological Radioactive material, for example Potential threats Legal Not of the proper substance, Potential threats nature, or quality Physical Glass and shatterable materials, Potential threats metal, wood, hard plastics, packaging materials, stones, personnel-related, bone and gristle, flexible plastic, and intrinsic food foreign bodies such as stones in fruit or shell in nut products Food Safety Tools and Techniques: TACCP document templates   ▪  189 WS E  TACCP Site Self-Assessment   Site name: 2211 Date: 3/17/2019 Completed by: G Moran   Section Compliant Improvement Weakness 1.0 Food security 3 2 3 programs 2.0 Outside grounds and 6 0 0 roof 3.0 Employee and visitor 5 3 2 programs 4.0 Material receiving 8 7 1 5.0 Facility operations 7 6 3 6.0 Finished goods 2 7 0 storage/shipping TOTAL 31 25 9 65 CHAPTER % Compliance 48% 39% 14% Criteria Rating (Insert “1” in relevant field) 3 Comments— input document reference data where Food security documentation is Actions 1.00 programs Compliant Improvement Weakness in place required  1.1 Operational risk 1   1 Risk management Updated risk management program last assessment of program com- updated in 2011 site needed pleted for facility. (Revision 3) (Documented) 1.2 Site TACCP team     1 TACCP team iden- Train TACCP identified and all tified but training team stakeholders trained has not taken place in TACCP principles. Crisis management team established. (Documented) 1.8 Program to ensure   1   Documentation of Update proce- security of incoming procedure is poor dure to include mail and packages. controls (Documented) continued 190  ▪  FOOD SAFETY HANDBOOK WS E  TACCP Site Self-Assessment (Continued) 1.9 Program to protect 1 Documentation Devise a backup and backup com- not backed up system for food-­ puter systems and safety-critical documentation documentation critical to food safety (Documented) 1.10 Company controlled 1 Not applicable Not applicable off-site warehousing, manufacturing, and distribution included in food security programs 1.11 Customer/con-   1   Procedure for com- Update sumer complaint plaint handling is procedure program established outdated and procedures to 3 investigate alleged CHAPTER tampering issues (Documented) 1.12 Written procedures 1     SOP-017 site None and policies in place defense policy for a contracted security service (Documented) Outside grounds and 2.00 roof Compliant Improvement Weakness     2.1 Secured perimeters 1     Perimeter secured   to restrict access by physical barriers to the facility and related outbuildings 2.2 Security cameras uti- 1     Netwatch-operated   lized at key locations cameras in place around facility and outbuildings 2.3 Regular patrols 1     Not currently Contact con- conducted of outside documented tract cleaners re: grounds and roof documentation area (Documented) 2.8 Program in place to 1     24-hour security   address any unusual on-site security issues noted on outside grounds (Documented) continued Food Safety Tools and Techniques: TACCP document templates   ▪  191 WS E  (Continued) 2.9 Entrances to facility 1     24-hour security   are minimized and on-site monitored 2.10 Metal or metal-clad 1     In place Confirmed doors utilized on entrances to facility Employee and visitor 3.00 programs Compliant Improvement Weakness     3.1 Formal pre-hire   1   Documented pro- Confirm with HR screening pro- cess not available gram in place for all employees and contracted persons (Documented) CHAPTER 3.2 No employees or   1   Documented pro- Confirm with HR contracted individu- cess not available als working without pre-hire screening program completed and approved (Documented) 3 3.3 No evidence of 1     Production areas None personal belongings inspected daily outside of designated areas 3.4 Formal uniform or 1     SOP-018 gowning None outer garment pro- procedure gram (Documented) 3.5 Employees not     1 Currently no Discuss with allowed outside restriction on TACCP team if of facility or desig- employee move- required nated outside break ment during break areas during work times hours 3.6 Employee lockers     1 Inspections occur- SOP and sched- in locker rooms and ring only prior to ule for locker other personal stor- audits, not being inspections age areas inspected documented required on a regular basis continued 192  ▪  FOOD SAFETY HANDBOOK WS E  TACCP Site Self-Assessment (Continued) 3.7 Visitors, contractors, 1     All visitors report None guests, etc. report to security, all to a designated contractors report entrance and sign in to maintenance manager 3.8 Facility policies   1   System needs to be Update system provided to visitors, updated to ensure infor- contractors, guests, mation provided etc. and plant-­issued is concise and identification pro- accurate vided with date of issue and expiration 3.9 Visitors, contractors, 1     Everyone entering None guests, etc. comply medium- and high- with the company care areas must dress policy/protec- comply with gown- 3 tive clothing policy ing requirements CHAPTER 3.10 Formal program to 1     SOP-004 None accompany visitors in facility and verify access to food sensi- tive areas 4.00 Material receiving Compliant Improvement Weakness     4.1 Suppliers provide 1     Evidence of sup- Confirm on evidence of food plier food security vendor approval security programs programs not system if infor- (Documented) documented mation is there and decide what suppliers we need this for 4.2 Supplier guarantees 1     Available on supply   on file for all ingredi- quality portal ents and packaging 4.3 Formalized ingredi-   1   Raw material/ Define require- ent and packaging packaging testing ments for each testing programs are programs are poor raw material/ in place (in-house packaging item testing, outside testing, or certifi- cates of analysis) (Documented) continued Food Safety Tools and Techniques: TACCP document templates   ▪  193 WS E  (Continued) 4.4 Unloading equip-     1 Documented pro- Discuss with ment (hoses, pipes, cedure for securing TACCP team if caps, augers, etc.) and inspecting required is secured and unloading equip- inspected prior to use ment not in place 4.5 Unloading process 1     All unloading None is conducted in a occurs in specified secured area or mon- areas with super- itored during entire vision by relevant process personnel 4.6 Trailer is inspected   1   Procedure for Discuss with after unloading and securing of unload- TACCP team if all unloading equip- ing equipment not required ment re-secured documented 4.7 Amount of product 1     Done in stores/ at None received is verified weighbridge CHAPTER against the receiving document 4.8 Written procedures in 1     SOP-002 None place to cover receipt of all received materi- als (Documented) 3 4.9 Arrival of truck 1     SOP-001 None at facility verified and driver iden- tification verified (Documented) 4.10 Bill of lading and   1   Done upon receipt, Review SOP receiving documents check SOP verified. Should include material name, amount of material, amount of seals, seal numbers, lot numbers, etc. 4.11 Truck and/or trailer   1   Warehouse manual Review SOP inspection conducted by trained facility personnel before and after unloading (Documented) continued 194  ▪  FOOD SAFETY HANDBOOK WS E  TACCP Site Self-Assessment (Continued) 4.12 Product(s), amount,   1   Warehouse manual Review SOP labels, lot num- bers, etc. verified at time of receipt (Documented) 4.13 Procedures in 1     SOP-003 Review SOP place for han- dling damaged or rejected materials (Documented) 4.14 Less-than-load (LTL)   1   Procedure is not Review SOP shipments have a specific enough on food security system LTL shipments in place to include ingredients, main- tenance, sanitation, 3 pest control, lab- CHAPTER oratory, and other received items 4.15 Written procedures   1   Procedure is not Review SOP to address quaran- specific enough tine and release, on evidence of irregularities in tampering amounts outside a predetermined range, evidence of tamper- ing, or counterfeiting of goods received 4.16 Tamper-resistant/ 1     Where feasible, Specify where tamper-evident pack- tamper-resistant used/not used in aging required for packaging utilized SOP received materials, when feasible 5.00 Facility operations Compliant Improvement Weakness     5.1 Assessment con-   1   Risk assessment Update risk ducted to indicate conducted 2011 assessment sensitive areas, such as materials storage, water supply, steam, compressed air, ice system, air supply, mixing, batching, production, etc. (Documented) 5.2 Access restricted to 1     Access is docu- None authorized indi- mented in risk viduals in sensitive assessment areas identified in assessment continued Food Safety Tools and Techniques: TACCP document templates   ▪  195 WS E  (Continued) 5.3 Water supply and   1   Full assessment Update risk related critical needed to confirm assessment components (stor- age tanks, backflow preventers, filters, etc.) are secured 5.4 Water portability   1   Water testing con- Review SOP testing conducted on ducted by external a regular and random contractor at basis (Documented) regular intervals— SOP needs to be reviewed 5.5 Water treatment 1     Water chlorina- Review SOP and/or filter sys- tion monitored tems monitored continuously and on a regular basis checked manually CHAPTER (Documented) and recorded on a weekly basis 5.6 Formal plan to     1 SOP not in place/ SOP required address and react not referred to in to a possible security procedures water safety issue (Documented) 3 5.7 Physical barriers in   1   Updated assess- Conduct assess- place and/or access ment required ment and restricted to haz- confirm ardous compounds, such as nitrite, clean- ing, and sanitizing chemicals, mainte- nance chemicals, pesticides, etc. 5.8 Controls in place to   1   Updated assess- Conduct assess- prevent intentional ment required ment and contamination confirm by contractors of maintenance, pest control, or sanitation crews 5.9 Program to iden-     1 SOP required SOP required tify any sampled or opened ingre- dient containers. Employees aware of program and understand proce- dures to follow if not properly identified (Documented) continued 196  ▪  FOOD SAFETY HANDBOOK WS E  TACCP Site Self-Assessment (Continued) 5.10 Traceability provided 1     Tracebility proce- None for all ingredients, dure in place direct contact pack- aging, and rework (Documented) 5.11 Access to food safety 1     Controls in place None manufacturing (password secured) components limited and controlled (retort controls, pasteurizer controls, heat control components, etc.) 5.12 Unprocessed goods 1     Store segregation None segregated from procedures processed goods and a program to prevent 3 deliberate mixing of CHAPTER these goods 5.13 Tamper-resistant/ 1     In place None tamper-evident pack- aging and/or seals provided for finished goods 5.14 All finished goods 1     In place None have appropriate lot identification 5.15 Labels held in a   1   Labels printed and Discuss with secure area held in access con- TACCP team if trolled area, labels securing of labels not secured within within bagging area lines required 5.16 Labels provided     1 Labels verified by Review SOP on containers are online system and verified store operators, SOP needs to be more specific Finished goods 6.00 storage/shipping Compliant Improvement Weakness     6.1 Finished goods 1     In place None appropriately seg- regated from raw materials or hazard- ous chemicals continued Food Safety Tools and Techniques: TACCP document templates   ▪  197 WS E  (Continued) 6.2 Quantities of finished   1   Stock control sys- Review goods are tracked tem in place, SOP and update and program in place needs to specify procedure to investigate miss- procedure for extra/ ing or extra stock missing stock 6.3 List of all third-party   1   Confirmation Confirm with storage and shipping needed from stores distribution companies/haulers manager used by the company is available and rele- vant third-party audit certification on file (Documented) 6.4 Third-party storage   1   Needs to be Discuss with warehousing and documented TACCP team shipping companies CHAPTER utilized by the facility practice food security (Documented) 6.5 Written procedures   1   Checks conducted SOP may require for inspection of review all vehicles prior to loading (bulk and 3 nonbulk) 6.6 Inspection conducted   1   In place, requires Review SOP of all outbound vehi- review cles prior to loading (Documented) 6.7 Amounts and lot 1     In place None numbers of mate- rials verified during loading 6.8 Driver identifi-   1   Confirmation Confirm with cation verified needed from stores distribution (Documented) manager 6.9 Security of trucks and   1   Confirmation Confirm with trailers maintained needed from third- distribution during transport party haulers manager to include multiple stops or deliveries Total 31 25 9 198  ▪  FOOD SAFETY HANDBOOK WS F  Site Threat Identification Site name: Joe Bloggs LLC      Date: March 17, 2019      Completed by: G Moran Criteria/process Further Risk Vulnerability (motivation/ Preventive actions/­ step breakdown number Threat opportunity) controls currently in place Food security Documentation/ 1.1 No operational risk manage- Individual/group exploits Operational risk manage- programs procedures ment in place gaps in management of ment implemented, Doc ID operational risks RA-SOP-001 V1.0 1.2 Off-site warehousing not Individual/group exploits Approval of off-site/third- controlled lack of control of off-site party warehousing warehouse in order to com- promise safety of product Outside grounds External 2.1 Site security not checked Individual/group exploits 24-hour security presence and roof routinely lack of security to compro- on-site, on-site CCTV mon- 3 mise safety of product itoring of critical locations, plus physical security CHAPTER measures in place (fencing, barriers, etc.) 2.2 Access to roof, silos, out- Individual/group exploits lack Outdoor buildings/silos buildings, bulk storage not of security to compromise secured, full assessment locked safety of product by third-party contractor anually 2.3 Lack of exterior lighting Individual/group exploits Adequate lighting in all which may allow access for lack of lighting and hide until areas unauthorized people access can be gained Employee and People 3.1 People/­contractors are not Individual/group exploits People/contractors visitor programs screened prior to employ- lack of restrictions to gain are screened prior to ment, people may cause mali- access and compromise employment cious contamination to the safety of product site/products/other people or have reasons for extortion 3.2 Inadequate storage for Disgruntled employee/ Adequate storage on-site in personnel items on-site contractor exploits lack of locker rooms for storage of which may allow malicious storage for personal items personal items contamination of products/ to compromise safety of equipment/harm to people product Material Receipt 4.1 No documented specifica- Individual/group exploits Specifications on-site for receiving tion for raw materials and lack of documented raw materials/packaging. packaging received on-site specifications and lack of PKG.SOP-003 V1.0 and what should be done if procedures to maliciously the materials/packaging are contaminate product damaged or rejected through materials/ packaging Food Safety Tools and Techniques: TACCP document templates   ▪  199 Risk assessment scoring Overall Likelihood of threat happening/detection Impact of threat score Threat decision tree If ≥6, proceed Almost Possi- Moder- Triv- to deci- PRP/ certain Likely ble Unlikely Rare Severe Major ate Minor ial sion CCP/ (5) (4) (3) (2) (1) (5) (4) (3) (2) (1) tree Q1 Q2 Q2a Q3 Q4 Q5 VTP       2     4       8 Y           N/A         1   4       4             N/A         1   4       4               CHAPTER         1   4       4 Y           N/A 3         1     3     3 Y           PRP       2     4       8 Y           N/A                                           2     4       8 N N Y       PRP continued 200  ▪  FOOD SAFETY HANDBOOK WS F  Site Threat Identification (Continued) Site name: Joe Bloggs LLC      Date: March 17, 2019      Completed by: G Moran Criteria/process Further Risk Vulnerability (motivation/ Preventive actions/­ step breakdown number Threat opportunity) controls currently in place Material receiv- Receipt 4.2 Delivery driver not identified Individual/group exploits Delivery driver identified and ing (continued) (continued) and access not restricted lack of restrictions in order access is restricted to compromise safety of the product 4.3 Contaminated raw materials Deliberately contaminated Critical raw materials tested received raw materials compromise for key parameters. GQMS safety of the product 0810.000.1004 Facility Facilities 5.1 Unsecured water supply, Individual/group exploits Water supply, storage tanks, operations storage tanks, back flow/ lack of security in order to back flow/filters secured filters) compromise safety of the 3 product CHAPTER 5.2 Water contaminated and Individual/group exploits Water quality is monitored not monitored lack of monitoring in order for relevant parameters to compromise safety of the product 5.3       Storage 5.4 Unauthorized access to bulk Individual/group exploits Access control by keypad/ ingredients, chemical stor- lack of access control in swipe card in place in all age, hatches, voids, ceilings, order to compromise safety areas, full assessment vents, etc. of the product required to confirm 5.5 Pesticides (bait boxes) used Individual/group exploits Toxic baits used only in on-site not restricted or lack of control in order to external (nonproduction, controlled compromise safety of the nonstorage) areas and are product secured in place and checked regularly by pest control service provider 5.6 Open raw materials not Individual/group exploits Open raw materials not challenged lack of control in order to accepted compromise safety of the product through raw mate- rial tampering Preparation 5.10 Unauthorized access to bulk Individual/group exploits Access control by keypad/ ingredients, chemical stor- lack of access control in swipe card in place in all age, hatches, voids, ceilings, order to compromise safety areas, full assessment vents, etc. of the product required to confirm 5.11 Pesticides (bait boxes) used Individual/group exploits Toxic baits used only in on-site not restricted or lack of control in order to external (nonproduction, controlled compromise safety of the nonstorage) areas and are product secured in place and checked regularly by pest control service provider Food Safety Tools and Techniques: TACCP document templates   ▪  201 Risk assessment scoring Overall Likelihood of threat happening/detection Impact of threat score Threat decision tree If ≥6, proceed Almost Possi- Moder- Triv- to deci- PRP/ certain Likely ble Unlikely Rare Severe Major ate Minor ial sion CCP/ (5) (4) (3) (2) (1) (5) (4) (3) (2) (1) tree Q1 Q2 Q2a Q3 Q4 Q5 VTP         1   4       4             N/A     3         3     9 N N Y       PRP     3         3     9 N N Y       PRP CHAPTER         1     3     3             PRP                                         3       4       12 N N Y       N/A 3         1       2   2             PRP         1     3     3             PRP     3       4       12 N N Y       N/A         1       2   2             PRP continued 202  ▪  FOOD SAFETY HANDBOOK WS F  Site Threat Identification (Continued) Site name: Joe Bloggs LLC      Date: March 17, 2019      Completed by: G Moran Criteria/process Further Risk Vulnerability (motivation/ Preventive actions/­ step breakdown number Threat opportunity) controls currently in place Facility opera- Process Step 5.12 Contamination at point of Individual exploits lack of System interlocked to shut tions (continued) manufacture (e.g., allergens, control at point of manufac- down/alarm if opened chemical) ture in order to compromise during production, proper safety of the product supervision of staff in critical areas Packaging 5.14 Contamination at point of Individual exploits lack of Tamper-evident packaging, cutting or packing (e.g., control at point of manufac- enclosed filling systems in allergens, chemical, physi- ture in order to compromise packaging lines cal), packaging not tamper safety of the product resistant 3 5.15 Labels for primary packaging Wrong labels are intention- Labels printed via SAP not restricted and obsolete ally placed on finished prod- system and cannot be done CHAPTER labels available for use uct in order to damage the retrospectively. Morning reputation of the company/ hygiene walks inspect line compromise safety of the clearance of labels. product Equipment 5.17 Contamination from Equipment is deliberately System interlocked to shut equipment contaminated by and down/alarm if opened individual/group in order to during production, proper compromise safety of the supervision of staff in critical product areas, approved suppli- ers used for purchase of equipment, CIP prerequisite program Finished goods Goods out 6.1 Sabotage at point of loading Finished product safety is Vehicles loaded in secure and shipping or during transit (e.g., vehi- deliberately compromised areas within the perimeter, cle hijack or damage) at point of loading or during drivers identified transit by individual/group 6.2 Goods out procedures not Individual exploits lack of Stock control procedures in followed and stock not control at goods out in order place, SAP system in place accounted for to compromise safety of does not allow for unac- the product or introduce counted stock movement counterfeit product or usage Transport 6.3 Trucks not secured and Individual exploits lack of Trucks are secured at loading product contaminated control in order to compro- and during transit mise safety of the product or introduce counterfeit product Finished product 6.4 Finished product is not Individual exploits lack of Stores are access-­controlled storage secured/no tamper-­evident control in order to compro- and tamper-evident packag- packaging used mise safety of the product ing used or introduce counterfeit product Note: CCP = critical control point; PRP = prerequisite program; VTP = vulnerable threat point. Food Safety Tools and Techniques: TACCP document templates   ▪  203 Risk assessment scoring Overall Likelihood of threat happening/detection Impact of threat score Threat decision tree If ≥6, proceed Almost Possi- Moder- Triv- to deci- PRP/ certain Likely ble Unlikely Rare Severe Major ate Minor ial sion CCP/ (5) (4) (3) (2) (1) (5) (4) (3) (2) (1) tree Q1 Q2 Q2a Q3 Q4 Q5 VTP         1   4       5             N/A         1   4       4             N/A CHAPTER   4           3     12 N N Y       PRP         1     3     3             N/A 3         1     3     3             N/A       2     4       8 N N Y       N/A         1   4       4             N/A         1   4       4             N/A 204  ▪  FOOD SAFETY HANDBOOK WS G  Risk Register Mitigation Corrective Action Criteria/ process Medium step Threat Rationale Short term term Long term Responsibility Update Date Raw Individual/group Financial Operational Enhance Appoint a C Flack Implement May 3, material exploits gaps in self-­interests risk man- detection full-time risk risk man- 2019 receiving management agement in manager agement of operational place SOP risks 3 CHAPTER Food Safety Tools and Techniques: TACCP document templates   ▪  205 WS H  Threat Decision Tree 1 Can the threat potentially Implement changes be eliminated? YES to eliminate the threat NO 2 Is there a protection measure in place? NO CHAPTER Add protection measure YES YES and reassess 2a Can an immediate protection measure be added? NO Add to risk register 3 3 Is this protection measure a generic measure managed by a PRP (prerequisite program)? YES Manage as a PRP NO YES 4 Is this protection measure at this process step designed to protect against this specific threat? 5 Is this protection measure Continue managed by an existing CCP? YES to manage NO through CCP YES Add to existing PRP or generate new PRP Vulnerable threat point 206  ▪  FOOD SAFETY HANDBOOK Annex 3B. Guidelines: Vulnerability assessment and critical control point Table 3B.1  Guidelines and Definitions: The TACCP System Product/ Likelihood of Impact of product group Process step Vulnerability occurrence threat Priority score Whole milk Milk Intake Adulteration of raw milk to Possible Trivial 3 enhance volume Purchase of Adulteration of lactose (see Possible Severe 15 lactose ­lactose vulnerability ­assessment) by addition of unapproved enhancers 3 Batching Milk intake Misbranding of non-Halal/Kosher Possible Trivial 3 CHAPTER ingredients as Halal/Kosher All Maintenance Substitution of food grade lubri- Unlikely Major 8 cants and/or equipment with cheaper alternatives Cleaning Substitution of approved Unlikely Major 8 cleaning agents with cheaper alternatives Picking Sale of flush/downgrade material Unlikely Severe 10 ­product for as good product sale Enter document ID Rev 0 3-17-2019 Instructions Product/product Process step Vulnerability Likelihood of Consequences Priority score group Defines and Outlines the vulnerable elements of occurrence of occurrence Outlines the risk Defines the prod- documents the supply chain by the FBO TACCP/ Outlines the Outlines the con- profile number (RPN) uct or product the relevant VACCP team likelihood of sequences of the assigned to the group under production steps the threat threat happening individual threat on the scope of the concerning the happening the FBO based upon VACCP study product and/or a the food fraud and similar group of ­ vulnerability SOP risk products assessment scoring system Food Safety Tools and Techniques: VACCP document template   ▪  207 Mitigation strategy (applicable to scores Motivation/opportunity Control measures of <10) Verification There is an economic motivation for Add water test, document ID, Test. Not applicable Not applicable the farmer to enhance the volume of SOP.001 V1.2 milk by dilution. Opportunity exists at farm level to add the diluent before collection. Increasing perceived protein content Incoming material procedure, docu- FBO supplier Auditing of with an approved enhancer to increase ment ID, SOP-001 V1.1 management and ­suppliers/vendors value is an economic motivation (hori- verification stan- where risk is high, zon scanning examples: melamine, dard, document ID, testing of finished nondairy proteins) Stf-001, V1.4 product CHAPTER Economic motivation is low. No food Certification maintained for all certified Not applicable Not applicable safety risk presented. suppliers There is an economic motivation to All lubricants and product-­contact Not applicable Not applicable purchase cheaper maintenance equip- equipment is certified as food grade. If ment. Few people carry out purchasing lubricants, a register is maintained. so there is little opportunity to accom- plish this without detection. 3 There is an economic motivation to A register of cleaning materials is main- Not applicable Not applicable purchase cheaper cleaning materials. tained. Cleaning agents approved for use Few people carry out purchasing so on product contact surfaces must be regis- there is little opportunity to accom- tered with the Department of Agriculture plish this without detection. and are audited regularly. Economic motivation exists to fraud- All good grade A product is positively Not applicable Not applicable ulently market downgrade as good released to the customer. Flush and grade A product, however, opportunity downgrade product is blocked on SAP is limited due to control offered by SAP system, preventing its movement. Flush System and downgrade materials are disposed of by approved disposal company. Instructions Motivation/opportunity Control measures Mitigation strategy Verification Outlines the motivation/opportunity for Outlines the current controls within the FBO Outlines the mitigation Outlines the action to the attacker if the threat is fully realized aimed at preventing the vulnerability from approach to be taken verify effectiveness of occurring by the FBO in the event the mitigation strat- of detection of an egy actions, where attack/incident relevant 208  ▪  FOOD SAFETY HANDBOOK Notes 1. See “ISO 22000:2018(en), Food Safety Management Systems: Requirements for Any Organization in the Food Chain,” International Organization for Standardization, Geneva, https://www.iso.org/obp/ui/#iso:std:iso:22000:ed-2:v1:en. For any other ISO standards mentioned in this chapter, see OBP (Online Browsing Platform) (database), International Organization for Standardization, Geneva, https://www.iso.org/obp/ui/#home. 2. For any CAC guidelines mentioned in this chapter, see Guidelines (database), Codex Alimentarius, International Food Standards, Codex Alimentarius Commission Secretariat, Food and Agriculture Organization of the United Nations, Rome, http://www.fao.org/fao-who-codexalimentarius/codex-texts/guidelines/en/. 3. For any Codex Alimentarius standards mentioned in this chapter, see Standards (database), Codex Alimentarius, International Food Standards, Codex Alimentarius Commission Secretariat, Food and Agriculture Organization of the United Nations, Rome, http://www.fao.org/fao-who-codexalimentarius/codex-texts/list-standards/en/. 4. See “Codex Alimentarius: International Food Standards,” Joint Food and Agriculture Organization of the United Nations–World Health Organization Food Standards Programme, Rome, http://www.fao.org​ /­fao-who-codexalimentarius/en/. References CAC (Codex Alimentarius Commission). 2003. “General Principles of Food Hygiene.” CAC/RCP 1-1969, Rev. 4-2003, 3 CAC Secretariat, Food and Agriculture Organization of the United Nations, Rome. CHAPTER Ministry of Health, Russian Federation. 2009. “Hygienic Requirements for the Quality and Safety of Food Raw Materials and Food Products.” SanPin 63 (June 9), Sanitary Norms, Rules, and Hygienic Standards, Ministry of Health, Moscow. Pennington, Thomas Hugh. 1997. “The Pennington Group: Report on the Circumstances Leading to the 1996 Outbreak of Infection with E.coli 0157 in Central Scotland, the Implications for Food Safety and the Lessons to be Learned.” April 8, Stationery Office, Edinburgh. WHO (World Health Organization). 1999. “Strategies for Implementing HACCP in Small and/or Less Developed Businesses.” Report WHO/SDE/PHE/FOS/99.7, WHO, Geneva. CHAPTER 4 FSMS Procedures and Documentation 210  ▪  FOOD SAFETY HANDBOOK Documentation overview As noted in chapter 3, seventh and final principle of a hazard analysis critical control point (HACCP) system is to establish effective recordkeeping procedures to document the food safety management system (FSMS). Maintaining complete and accurate records is essential to ensuring the effective monitoring of an FSMS and demonstrating compliance with food safety requirements. The structure of the documentation used in the FSMS may be described as a hierarchy. In International Organization for Standardization (ISO) 22000:2018, it is labeled “documented information.”1 This term was introduced as part of the typical high-level structure and common terms across management system stan- dards. The definition of documented information can be found in ISO 22000:2018, clause 3.13, as follows: the “information required to be controlled and maintained by an organization and the medium on which it is contained.” Documented information can be used to communicate a message, provide evidence of what was planned and what has actually been done, or share knowledge. All the documented information that forms part of an FSMS must be controlled in accordance with ISO 9001:2015, clause 7.5. According to ISO 9001:2015, a document is information (meaningful data) and the medium on which it is contained, whereas document information is information (meaningful data) that is required to be controlled and maintained by an organization. HACCP and FSMS documents may be in any form or type of medium, such as paper, magnetic, electronic, or optical computer disc, photograph, or master sample. According to ISO 9001:2015, clause 7.5.1, quality management system documentation shall include the doc- umented information required by the international standard and determined by the organization as necessary for the effectiveness of the FSMS. The note at the end of the clause makes clear that the extent of FSMS-­ documented information can differ across organizations because of (1) the size of the organization and the type of activities, processes, products, and services it carries out or realizes; (2) the complexity of these pro- cesses and the interactions that result; and (3) the competence of the individuals involved. This facilitates the distribution, maintenance, and understanding of the documentation. 4 Figure 4.1 illustrates a typical hierarchy of HACCP or FSMS documentation. The development of the hierar- CHAPTER chy depends on the circumstances of the organization. Figure 4.1  Hierarchy of Food Safety Management System Documentation Food safety policy Level 1 and objectives Level 2 HACCP plans Level 3 SOPs and PRPs Other documentation/ Level 4 records Note: PRP = prerequisite program; SOP = standard operating procedure. FSMS Procedures and Documentation   ▪    211 Purpose and benefits Among the organizational purposes and benefits of FSMS documentation are the following: (1) describing the FSMS of the organization; (2) affording information for cross-functional groups so that they may better understand interrelationships; (3) communicating management’s commitment to food safety to employees; (4) helping employees understand their role within the organization, thus offering them an increased sense of purpose and of the importance of their work; (5) supporting mutual understanding between employees and management; (6) furnishing the groundwork for expectations around work performance; (7) stating how tasks should be carried out to achieve specified requirements; (8) supplying objective evidence that specified requirements have been achieved; (9) presenting a clear, efficient framework for operations; (10) establishing a platform for training new employees and the periodic retraining of current employees; (11) producing a footing for order and balance within the organization; (12) contributing to consistency in operations based on documented processes; (13) shaping an understructure for continual improvement; (14) maintaining customer confidence through documented systems; (15) demonstrating the capabilities of the organization to interested parties; (16) delivering a clear set of requirements for suppliers; (17) creating the authority for auditing the FSMS; and (18) building a foundation for evaluating the effectiveness and ongoing suitability of the FSMS. Food safety policy and the associated objectives The food safety policy and the associated objectives should be documented. The documentation may be inde- pendent or may be included in the FSMS. The food safety policy should contain the relevant defined require- ments specified by the food safety scheme of the Global Food Safety Initiative (GFSI). Food safety objectives should be SMART: specific, measurable, attainable (or achievable), realistic, and time-bound. They should be consistent with the food safety policy and with the primary aim of the GFSI food safety scheme, that is, to eliminate or reduce relevant food safety hazards. CHAPTER Documented procedures Structure and format Organizations may select the form of the documentation on standard operating procedures (SOPs) that most 4 closely fits their requirements. The structure and format of the documented SOPs, in hard copy or electronic media, might thus include text, flowcharts, tables, a combination of these, or any other suitable contents in accordance with the needs of the organization. The documented SOPs should contain all necessary informa- tion and be labeled according to a unique identification system. They may make reference to work instructions that define how an activity is performed. SOPs generally describe activities across various functions, while work instructions typically apply to tasks within a single function. Sample templates of many possible documented SOPs follow in this chapter. They should be considered illustrative. They are each identified by a unique SOP number and are ordered in the sequence of these SOP numbers. There are gaps in the numbering, however. This is because procedures judged to be less relevant for the purposes of this handbook have not been included. The first procedure, Control of Documents (SOP-001), may be considered a model. The next subsections offer additional guidance. Contents The following structure is suggested for a documented procedure based on ISO 10013. However, organiza- tions are free to select a document structure that meets their needs. 212  ▪  FOOD SAFETY HANDBOOK TITLE The title should clearly identify the documented procedure. PURPOSE The purpose of the documented procedure should be defined. SCOPE The scope of the documented procedure, including the areas to be covered and areas not to be covered, should be described. RESPONSIBILITY AND AUTHORITY The responsibility and authority of individuals or organizational units, as well as the interrelationships between these individuals or units and the processes and activities described in the procedure, should be iden- tified. These interrelationships should be described in the procedure through flowcharts and descriptive text as appropriate for clarity. DESCRIPTION OF ACTIVITIES The level of detail may vary depending on the complexity of the activities, the methods used, and the skills and training necessary for the activities to be accomplished. Irrespective of the level of detail, the description of activities should cover the following: (1) the needs of the organization and of the organi- zation’s customers and suppliers; (2) descriptions of the procedures through text and flowcharts on the required activities; (3) what is to be done, by whom or by which organizational unit, why, when, where, and how; (4) the process controls and controls on the identified activities; (5) the resources in personnel, training, equipment, and materials necessary for the accomplishment of the activities; (6) the appropriate 4 documentation on the required activities; (7) the process inputs and outputs; and (8) the indicators and measurements to be developed. The organization may decide that work instructions are more appropriate CHAPTER in conveying some of the above information. RECORDS The records on the activities of the documented procedure should be described in this section of the docu- mented procedure or in a related section. The forms to be filled out as part of the recordkeeping should be identified. The methods required to complete, file, and maintain the records should be outlined. APPENDIXES Appendixes containing supporting information, such as tables, graphs, flowcharts, and copies of forms on the documented procedure, may be included. REVIEW, APPROVAL, AND REVISIONS Evidence about reviews, approvals, status, and date of revision of the documented procedure should be indicated. IDENTIFICATION OF CHANGES Descriptions of any changes in the procedure should be identified in the document or in the appropriate attachments. FSMS Procedures and Documentation   ▪    213 Work instructions Structure and format Work instructions should be developed and maintained to describe the steps in performing any work that might be adversely affected if such instructions were not included. The work instructions should include a title and a unique identification label. The structure, format, and level of detail of the work instructions should be tailored to the needs of the organization’s personnel. They depend on the complexity of the work, the methods used, the training undertaken, and the skills and qualifications of the personnel. The structure of the work instructions may vary from that of documented procedures. The work instructions may be included in the documented procedures or referenced in them. Contents Work instructions should describe critical activities. Details that do not support more control over the activi- ties should be avoided. Training can reduce the need for detailed instructions, provided the individuals obtain the information they need to do their jobs. TYPES OF WORK INSTRUCTIONS In general, although work instructions have no required structure or format, they should convey the purpose, scope, and objectives of the work with reference to the pertinent documented procedures. Whichever format or combination is chosen, the work instructions should follow the order or sequence of the operations and accurately reflect the requirements of the relevant activities. To reduce confusion and uncertainty, a consistent format or structure should be established and maintained. REVIEW, APPROVAL, AND REVISIONS The organization should provide clear evidence on reviews and approvals of the work instructions, any revi- CHAPTER sions, and the dates of revisions. RECORDS Where applicable, the records specified in the work instructions should be defined in this section or in related sections. The minimum food safety records required are identified in the relevant GFSI food scheme. The methods required to complete, file, and keep the records should be described. The forms to be used for these records should be identified. 4 IDENTIFICATION OF CHANGES The nature of any changes should be identified in the document or in appropriate attachments. Hazard control plan A hazard control plan or HACCP plan is a set of written procedures that help minimize the potential of caus- ing an adverse health effect. The contents of the hazard control plan are defined by the Codex Alimentarius Commission (CAC) (CAC 2003; see chapter 3). Specifications Raw materials, ingredients, and product-contact materials All raw materials, ingredients, and materials that come into contact with food and food products, including packaging, are to be described in documents to the extent necessary to conduct the hazard analysis. This covers 214  ▪  FOOD SAFETY HANDBOOK the following, as appropriate: (1) biological, chemical, and physical characteristics; (2) the composition of formulated ingredients, including additives and processing aids; (3) sources (animal, mineral, or vegetable); ­ (4) place of origin (provenance); (5) method of production; (6) method of packaging and delivery; (7) storage conditions and shelf life; (8) preparation and handling before use or processing; and (9) acceptance criteria related to food safety or the specifications of purchased materials and ingredients appropriate to the intended uses. The organization is to identify and follow statutory and regulatory food safety requirements relevant to the above or, if they are more strict than the statutory and regulatory food safety requirements, the organization’s food safety requirements. The descriptions are to be kept up-to-date as required. Finished product specification The characteristics of end products are to be described in documents to the extent needed to conduct the h­ azard analysis, including information on the following, as appropriate: (1) product name or similar identification; (2) composition; (3) biological, chemical, and physical characteristics relevant to food safety; (4) intended shelf life and storage conditions; (5) packaging; (6) labeling related to food safety and instructions for han- dling, preparation, and intended use; and (7) methods of distribution and delivery. The organization is to identify statutory and regulatory food safety requirements related to these characteristics. The descriptions are to be kept up-to-date as required. Forms Forms are developed and maintained to record data demonstrating compliance with the requirements of the FSMS. The forms should include a title, an identification number, and information on revisions, including dates of revision. Forms should be referenced in or attached to the quality manual, documented procedures, and work instructions. 4 CHAPTER Records FSMS records supply information on results achieved or provide evidence that the activities described in the documented procedures and work instructions have been performed. (Records are not generally the subject of revision control because they typically do not change.) Records should demonstrate compliance with the requirements of the FSMS and the specified requirements on food safety. The responsibility for the preparation of records should be addressed in the FSMS documentation. Records furnish the only reference information available to trace the production history of a finished product. They can be used as a tool to alert the food business operator (FBO) to potential problems before these lead to the violation of a critical limit. They can serve as evidence that proper procedures are being followed. The approval, issue, and control of FSMS documents Review and approval Prior to publication, documents should be reviewed by authorized individuals to ensure clarity, accuracy, adequacy, and proper structure. Intended users should also have the opportunity to assess and comment on the usefulness of the documents and the extent to which documents reflect practice. The release of docu- ments should be approved by the management authorities responsible for the implementation of the docu- ments. Each copy of a document should show evidence of the release authorization. Likewise, evidence of the approval of a document should be retained. FSMS Procedures and Documentation   ▪    215 Distribution The method of distribution of documents by authorized personnel should ensure that pertinent documents are available to all personnel who need the information included in the documents. Proper distribution and control may be supported, for example, through the use of serial numbers on individual copies of the doc- uments. Documents, such as an HACCP manual, that is, a set of documents used to establish and support the development and operation of an HACCP system, may be distributed to external groups and entities, for instance, customers, certification bodies, and regulatory authorities. The incorporation of changes A process for the initiation, development, review, control, and incorporation of changes to documents should be provided. The same review and approval process used in developing the original documents should apply in processing changes. ISSUE AND CHANGE CONTROL Control over the publication of and changes to documents is essential to ensuring that the contents of docu- ments are properly approved by authorized personnel and that the approval is clearly demonstrated. Various methods may be considered for facilitating the process of making changes. Responsible authorities within organizations should consider maintaining a record of the changes to documents for legal purposes and to preserve knowledge. A process should be established to ensure that only appropriate documents are being used. Under certain circumstances, the appropriate document may not be the latest revision. Documents that have been revised should be replaced by the latest versions. A document master list with revision status may be produced to help assure users that they possess the correct versions of authorized CHAPTER documents. UNCONTROLLED COPIES For the purpose of tenders, customer off-site usage and other, special distributions of documents on which the control over changes is not intended to be exercised, the documents so distributed should be clearly identified as uncontrolled copies. Failure to provide such identification may lead to the use of obsolete documents. 4 Record retention Storing records Records can be stored as case files, logbooks, data in databases, and so on. FBOs should take reasonable steps to ensure that training records are stored in a secure location and are not available to individuals who are not authorized to have access. FBOs should also adopt a policy on backing up data, access rights, and security. Precautions should be taken to protect soft-copy records from electronic viruses or technical failures, and written records should be protected from damage by fire, water, or even rodents, termites, and other pests. Privacy protection and access to records FBOs should develop a policy to maintain the confidentiality of written and electronic records, includ- ing sensitive information on trainees and employees. All FBO personnel should be required to abide 216  ▪  FOOD SAFETY HANDBOOK by the policy. FBOs should seek to balance the individual’s right to privacy with the needs of services provision. In providing auditors with access to training records, for instance, FBOs should take steps to protect the privacy of employees and other individuals identified or discussed in the records. Both audi- tor requests and the reasons for withholding records should be documented in client files. Sensitive and confidential information must be released only to authorized parties with the consent of the individuals identified in the records. Record maintenance and destruction FBOs should ensure that their recordkeeping practices comply with all contractual, regulatory, and legal requirements. FBOs should store training records for at least six years where practical; this is a general GFSI scheme requirement. The transfer or disposal of FBO training records should be conducted in a manner that protects employee confidentiality. FBOs should develop an internal policy on the time frame for updating records. Electronic or hard-copy records? FBOs could consider all factors involved in maintaining electronic or written records. They should choose the system that meets their needs and more clearly benefits the FBO, employees, and auditors. ELECTRONIC RECORDS Maintaining training records as soft copies allows for easy access, transfer, and storage. However, keeping records using an electronic tool, such as the personal digital assistant or a smartphone, while conducting intake assessments of new clients, for instance, may appear impersonal and inappropriate. If documentation and records are stored electronically, the FBO should develop relevant policies and procedures for information 4 management and the use of information technology, including system maintenance, access monitoring, and staff training. CHAPTER WRITTEN RECORDS Written records are common and may be more user-friendly among employees and auditors. However, they may sometimes become difficult to read because of variations in handwriting. In addition, duplicate copies have to be made for transmission to additional individuals or agencies. Record review It is good practice to review records so that improvements in training design and delivery can be undertaken. Records should be reviewed periodically to establish the following: ▪▪ The thoroughness, completeness, and timeliness of assessments ▪▪ The active involvement of clients in making informed choices among services ▪▪ The ability of the services provided to clients to achieve appropriate client outcomes ▪▪ The identification of the need for improvement in client outcomes FSMS Procedures and Documentation   ▪    217 Note 1. See “ISO 22000:2018(en), Food Safety Management Systems: Requirements for Any Organization in the Food Chain,” International Organization for Standardization, Geneva, https://www.iso.org/obp/ui/#iso:std:iso:22000:ed-2:v1:en. For any other ISO standards mentioned in this chapter, see OBP (Online Browsing Platform) (database), Interna- tional Organization for Standardization, Geneva, https://www.iso.org/obp/ui/#home. Reference CAC (Codex Alimentarius Commission). 2003. “General Principles of Food Hygiene.” CAC/RCP 1-1969, Rev. 4-2003, CAC Secretariat, Food and Agriculture Organization of the United Nations, Rome. CHAPTER 4 218  ▪  FOOD SAFETY HANDBOOK Food safety management system procedures: Templates and instructions CONTROL OF DOCUMENTS An FBO Procedure Document No. Standard operating procedure SOP-001 Created April 20, 2018 Updated January 13, 2019 Controller Document Controller Owner Food Safety Manager Confidentiality Statement Information in this document must be kept confidential as per the document’s classification below and the rules of disclosure. All FBO documents are classified in the following way. PUBLIC documents are intended for anyone. COMMER- CIAL IN CONFIDENCE documents are to be kept confidential among restricted individuals within the FBO and partner organizations. COMPANY CONFIDENTIAL documents are to be kept confidential within the FBO and used for normal business activities by the general office population. HIGHLY CONFIDENTIAL documents are to be kept confidential among restricted individuals within the FBO. © Copyright FBO. All rights reserved. No part of this publication may be reproduced, stored in a retrieval system, or transmitted in any form or by any means, electronic, mechanical, photocopying, recording, or otherwise, without the written permission of the FBO. Classification Company Confidential 4 Revision History CHAPTER Date Version Author Comments (including review history) April 20, 2018 Draft 01 Joe Bloggs Initial document for review and discussion April 24, 2018 V1.0 Joe Bloggs Approved and released by process owner January 13, 2019 V1.1 Joe Bloggs Updated definitions section Contents 1 Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 219 7 The Document Management System. . . . . . . . 225 2 Related Documents. . . . . . . . . . . . . . . . . . . . . . . 219 7.1 General . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 225 3 Definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 219 7.2 Access Rights. . . . . . . . . . . . . . . . . . . . . . . . 226 7.3 Document Review. . . . . . . . . . . . . . . . . . . . 226 4 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . 220 7.4 Obsolete Documents . . . . . . . . . . . . . . . . . 226 4.1 General . . . . . . . . . . . . . . . . . . . . . . . . . . . . 220 7.5 Document Disposal. . . . . . . . . . . . . . . . . . . 226 4.2 Document Control Policy. . . . . . . . . . . . . 220 7.6 Document Archiving. . . . . . . . . . . . . . . . . . 226 4.3 Content of Documents. . . . . . . . . . . . . . . . 221 7.7 Document Numbering. . . . . . . . . . . . . . . . 227 4.4 Documents of External Origin. . . . . . . . . . 221 8 Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 227 5 Procedure Flowchart. . . . . . . . . . . . . . . . . . . . . . 223 6 Procedure Notes. . . . . . . . . . . . . . . . . . . . . . . . . . 224 Classification Company Confidential Control of Documents Procedure Doc ID: SOP-001 Printed: Controller: Document Controller Page 1 of 10 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Control of Documents   ▪    219 Control of Documents 1 Summary Purpose The purpose of this procedure is to describe the following: • The methodology in place to control all documentation relevant to the food safety management system (FSMS) Scope This procedure applies to the following: • The creation, review, approval, obsolescence, archiving, disposal/­ destruction of FSMS documentation • The control of documents of external origin determined to be necessary for the planning and operation of the FSMS • The control of the company portal, website, and marketing materials Functional The functional responsibility for this procedure lies with the food safety man- responsibility ager, who is responsible for the effective implementation and maintenance of this procedure. 2 Related Documents Policies Food Safety Policy, POL-001 Processes Not applicable Procedures Control of Records, SOP-002 Work instructions Not applicable Forms Document Request Form Disposal/Archival Request Form CHAPTER Other Not applicable 3 Definitions Term or acronym Description DMS document management system 4 Document controller The person responsible for the control of documentation; this is the ­document controller Documented Information required to be controlled and maintained by the organization information and the medium upon which it is contained (clause 3.13 of International Organization for Standardization [ISO] 22000:2018) Document template The template used to create documentation FBO food business operator FSMS food safety management system HACCP hazard analysis critical control point, a system that identifies, evaluates, and controls hazards that are significant for food safety Hazard control plan A document prepared in accordance with the principles of HACCP to ensure control of hazards that are significant for food safety in the segment of the food chain under consideration OPRP operational prerequisite program PRP prerequisite program Classification Company Confidential Control of Documents Procedure Doc ID: SOP-001 Printed: Controller: Document Controller Page 2 of 10 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 220  ▪  FOOD SAFETY HANDBOOK Control of Documents 4 Introduction 4.1 General Documentation is used by an organization to ensure communication and consistency of action. The effective use of documentation enables the following: ▪▪ Achievement of conformity to customer requirements and quality improvement ▪▪ Provision of appropriate training ▪▪ Repeatability and traceability ▪▪ Provision of objective evidence ▪▪ Evaluation of the effectiveness and continuing suitability of the management system In a food safety management system (FSMS), the following documentation may typically occur: ▪▪ Documents that provide consistent information, both internally and externally, about the organization’s management system, referred to as management system manuals, for example, food safety manual or FSMS manual ▪▪ Documents that describe how the FSMS is applied to a specific product, referred to as prerequisite programs (PRPs), operational prerequisite programs (OPRPs), hazard control plans, and so on ▪▪ Documents stating requirements, referred to as specifications ▪▪ Documents stating recommendations or suggestions, referred to as guidelines 4 ▪▪ Documents that provide information about how to perform activities and processes CHAPTER consistently, referred to as documented procedures, work instructions and draw- ings, forms, document templates, and other documentation ▪▪ Documents that provide objective evidence of activities performed or results achieved, referred to as records 4.2 Document Control Policy An electronic document management system (DMS) is implemented to control all documents falling under the scope of the FSMS. This system allows documentation, in electronic format, to be available, accessible, and controlled. The controlled master documents are held in the DMS. Any printed copies are valid only on the day of printing and are deemed uncontrolled thereafter. Employees are not permitted to hold any versions of FSMS documentation on their personal hard drives and must review/obtain all copies of required documents from the DMS. Records are a special type of document and are controlled as per standard operating procedure SOP-002 Control of Records. Classification Company Confidential Control of Documents Procedure Doc ID: SOP-001 Printed: Controller: Document Controller Page 3 of 10 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Control of Documents   ▪    221 Control of Documents 4.3 Content of Documents As part of the standardization process, all FSMS documentation will follow the same format. In gen- eral, all company documentation must accomplish the following: ▪▪ Clearly display the company logo in the header ▪▪ Identify, in the footer, the number of the current page and the total number of pages ▪▪ Show the control number ▪▪ Display the document name ▪▪ Show the revision number For procedures and work instructions, the following sections are required: ▪▪ Summary, including purpose, scope, and functional responsibility ▪▪ Related documents table, including policies, processes, procedures, work instructions, forms, and others ­ ▪▪ Definitions table ▪▪ Introduction to the procedure ▪▪ Procedure flowchart ▪▪ Procedure notes ▪▪ Records table Subsections may be added as necessary. The layout of this procedure—the document control CHAPTER procedure—should be used as a model. ­ The format of the header and footer in this procedure—the document control procedure—must be used and edited appropriately in all other procedures. 4.4 Documents of External Origin 4 Where deemed necessary for the planning and operation of its processes and activities, the organi- zation may obtain documents from external sources. These documents may be in any medium, for instance, DVD, compact disc, Internet, or a supplier or client portal. They must be controlled if a library is maintained by the food business operator (FBO). Most food safety schemes require access to such documents, but not necessarily the physical or electronic storage of documents of external origin. Examples of external documents include the following: ▪▪ Equipment manuals in hard copy, compact disc, or DVD ▪▪ Building blueprints ▪▪ Customer specifications ▪▪ Other legislative or regulatory requirements ▪▪ International standards (for example, ISO 22000:2018, FSSC 22000 V4.1) Classification Company Confidential Control of Documents Procedure Doc ID: SOP-001 Printed: Controller: Document Controller Page 4 of 10 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 222  ▪  FOOD SAFETY HANDBOOK Control of Documents On receipt of or notification of an external document of relevance, the relevant department must inform the document controller so the document can be recorded in and controlled through the DMS. This control, through the DMS, will extend to the following: ▪▪ Assigning a control number if one does not already exist ▪▪ Assigning a receipt date, that is, the receipt of the document by the company ▪▪ Assigning a revision number if one does not already exist ▪▪ Recording the distribution of the document within the company Documents of external origin requiring a control number and a revision number should take the following format: EXT xxx yyy Name of Document Revision zzz, where EXT signifies that the document is of external origin; xxx identifies the applicable company department, for example, compliance; yyy = the next control number available; and zzz = the revision control number. The document controller will be responsible for naming and numbering all documents of external origin. The receipt date will be noted in the DMS as a note to the document. If a document of external origin of relevance is referenced in the DMS, but not stored, the link to the online location should be recorded and maintained by the document controller. Any updates to documents of external origin will be reviewed by the relevant department. An assess- 4 ment of applicability will be carried out, and the appropriate actions will be taken. The newer ver- CHAPTER sion of the external document will be controlled as outlined above, and the previous version will be obsoleted. Classification Company Confidential Control of Documents Procedure Doc ID: SOP-001 Printed: Controller: Document Controller Page 5 of 10 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Control of Documents   ▪    223 Control of Documents 5 Procedure Flowchart Responsibility Process Records Start 1 Employee Need for document identified Declined 2 Manager End Need reviewed Agreed Document 3 Role appointees controller Roles assigned 4 Author Draft document Draft document created 5 Draft document Author Document classified 6 CHAPTER Author Draft sent Draft document for approval 7a No 7 Draft document Author/ Amendments Approved? approver(s) made Approved document Yes 8a 8 4 Human resources/ Postpone release Yes Training document controller until training Training plan completed need? No 9 Document 9a Yes Obsolete version Previous controller Make obsolete version? No 9b 9c 10 Released Document Disposal Archival Document document controller process process released Archived document Disposal authorization End Classification Company Confidential Control of Documents Procedure Doc ID: SOP-001 Printed: Controller: Document Controller Page 6 of 10 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 224  ▪  FOOD SAFETY HANDBOOK Control of Documents 6 Procedure Notes Step 1 The potential need for a new document can be raised by any employee. Step 2 The need for a new document must be reviewed by the process owner or the head of the department to ensure that the need represents a valid requirement and that no other existing document already covers the need identified or could be amended to meet the need. If the need is declined, the process ends at this point. Step 3 Once the need has been accepted, the relevant actors in documentation are appointed, as follows: ▪▪ Sponsor, the person who determines whether the need is valid; the sponsor may also be the process owner ▪▪ Manager, the person with the responsibility and authority to undertake the flawless implementation and management of the procedure ▪▪ Approver(s), those with review and approval responsibility and authority related to the document ▪▪ Author, the person who creates/writes the document utilizing the approved document template ▪▪ User, the person with responsibility to ensure conformity with the procedure and to 4 advise on any changes, if required CHAPTER Step 4 Either within the DMS or external to the DMS, the author will create the document utilizing the approved document template. The following also need to be defined at this stage: ▪▪ The effective date of the procedure ▪▪ The review period, for instance, 12 months or sooner ▪▪ Any verification (testing) associated with the procedure, for example, a quiz ▪▪ Identifying the relevant interested parties ▪▪ Identifying other documents affected by this procedure and notifying the relevant process owners This is also the point in the document control process at which the control of changes to existing documents begins. Step 5 The author, in association with the sponsor and owner, will classify the document in accordance with the proposed use and circulation of the document. Classifications include the following: ▪▪ Public documents are intended for anyone. ▪▪ Commercial in confidence documents are to be kept confidential between restricted individuals within the FBO and partner organizations. Classification Company Confidential Control of Documents Procedure Doc ID: SOP-001 Printed: Controller: Document Controller Page 7 of 10 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Control of Documents   ▪    225 Control of Documents ▪▪ Company confidential documents are to be kept confidential within the FBO and used for normal business activities by the general population. ▪▪ Highly confidential documents are to be kept confidential among restricted ­ individuals within the FBO. Steps 6 and 7 Once authors are satisfied with the level of detail in the procedure and so on, they will verify that the procedure matches current operational practices and relevant statutory, regulatory, and conformity requirements prior to submitting the document for approval. This can be achieved through discus- sions with relevant departments. The document is then sent for approval through the DMS or manually to each of the specified approv- ers. All approvers are required to read and evaluate the document and specify their approval or disap- proval of the contents. If approved, the document moves to the next stage of the process. However, if one or more approvers reject the document, it returns to the author for the appropriate amendments to be made. It will then be resubmitted for approval. This approvals loop may pass through several iterations. Steps 8 and 8a Once the document is approved, the impact of the document will be assessed, and any training needs identified. The effective date of this procedure will be postponed until any required training has been successfully completed. The DMS has the ability to test persons on their understanding of a process CHAPTER or procedure through a quiz. Step 9 The DMS will automatically remove obsoleted versions of a document. Steps 9a, 9b, and 9c 4 The DMS will automatically archive/dispose of obsoleted documents. Step 10 The approved document is released on the DMS, and the relevant personnel are informed of the release. 7 The Document Management System 7.1 General A DMS has been implemented within the company to ensure the necessary control of all documen- tation that falls under the scope of the FSMS. This DMS covers and provides evidence of the control of documentation in line with the flowchart outlined in section 5 of this procedure and the notes outlined in section 6 of this procedure. Classification Company Confidential Control of Documents Procedure Doc ID: SOP-001 Printed: Controller: Document Controller Page 8 of 10 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 226  ▪  FOOD SAFETY HANDBOOK Control of Documents 7.2 Access Rights Access rights to the DMS have been assigned as follows: ▪▪ Full access: • The food safety manager • The document controller ▪▪ Edit/amendments: • Document owners • Document approvers • Document authors ▪▪ Read only: • Authorized employees Only the document controller and the food safety manager may release a document in the DMS, subject to the completion of a successful approval process. 7.3 Document Review At placement of a document within the DMS structure, the definition of a review time frame is required. The document controller will monitor and ensure that the time frame is respected. 7.4 Obsolete Documents 4 The DMS will automatically remove obsolete documents from view. If obsolete, hard-copy docu- ments held for legal, knowledge retention, or other purposes will be clearly marked as obsolete to CHAPTER prevent unintended use. Obsolete documentation held on the DMS may be accessed only by the doc- ument controller and the food safety manager. 7.5 Document Disposal Authorization through the DMS must be granted before the disposal of a document. Documents may be disposed of through deletion from the DMS or the shredding of physical documents. 7.6 Document Archiving The archiving of documents is managed automatically within the DMS. Classification Company Confidential Control of Documents Procedure Doc ID: SOP-001 Printed: Controller: Document Controller Page 9 of 10 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Control of Documents   ▪    227 Control of Documents 7.7 Document Numbering All documents within the scope of the management system shall follow the naming structure outlined below: Document type Numbering structure Example Policy POL. xxx yyy Name Revision number POL FSMS 001 Food Safety Policy Rev 01 Procedure PRO xxx yyy Name Revision number PRO QMS 001 Document Control Rev 01 Work instruction WI xxx yyy Name Revision number WI QMS 001 Writing a Job Description Rev 01 Specification SPEC xxx yyy Name Revision number SPEC QMS 001 Specification Rev 01 Form/document FRM xxx yyy Name Revision number FRM QMS 001 Master Document template Register Where: xxx = department identification and yyy = document number. Document numbers will be assigned by the document controller based on the documentation master list. Only the document controller is authorized to change the naming structure. External document naming criteria are outlined in section 4.4 of this procedure. CHAPTER 8 Records Document Location Duration of record Responsibility Documentation master list DMS Indefinitely Document controller Documentation review report DMS Indefinitely Document controller 4 Disposal/archival request form DMS Indefinitely Document controller Classification Company Confidential Control of Documents Procedure Doc ID: SOP-001 Printed: Controller: Document Controller Page 10 of 10 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 228  ▪  FOOD SAFETY HANDBOOK CONTROL OF RECORDS An FBO Procedure Document No. Standard operating procedure SOP-002 Created April 20, 2018 Updated January 13, 2019 Controller Document Controller Owner Food Safety Manager Confidentiality Statement Information in this document must be kept confidential as per the document’s classification below and the rules of disclosure. All FBO documents are classified in the following way. PUBLIC documents are intended for anyone. COMMER- CIAL IN CONFIDENCE documents are to be kept confidential among restricted individuals within the FBO and partner organizations. COMPANY CONFIDENTIAL documents are to be kept confidential within the FBO and used for normal business activities by the general office population. HIGHLY CONFIDENTIAL documents are to be kept confidential among restricted individuals within the FBO. © Copyright FBO. All rights reserved. No part of this publication may be reproduced, stored in a retrieval system, or transmitted in any form or by any means, electronic, mechanical, photocopying, recording, or otherwise, without the written permission of the FBO. Classification Company Confidential Revision History Date Version Author Comments (including review history) 4 April 20, 2018 Draft 01 Joe Bloggs Initial document for review and discussion CHAPTER April 24, 2018 V1.0 Joe Bloggs Approved for release by process owner January 13, 2019 V1.1 Joe Bloggs Annual review, no changes Contents 1 Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 229 5 Procedure Flowchart. . . . . . . . . . . . . . . . . . . . . 230 2 Related Documents. . . . . . . . . . . . . . . . . . . . . . . 229 6 Procedure Notes. . . . . . . . . . . . . . . . . . . . . . . . . 230 3 Definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 229 7 Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 231 4 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 229 Classification Company Confidential Control of Records Procedure Doc ID: SOP-002 Printed: Controller: Document Controller Page 1 of 4 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Control of Records   ▪    229 Control of Records 1 Summary Purpose The purpose of this procedure is to describe the methodology used to control records developed as part of the food safety management system (FSMS). Scope This procedure applies to the distribution, storage, preservation, legibility, retention, disposition, and access to and retrieval of records. Functional The functional responsibility for this procedure lies with the food safety man- responsibility ager, who is responsible for the effective implementation and maintenance of this procedure. Departmental managers are responsible for ensuring that the records under their control are managed in accordance with this documented procedure. 2 Related Documents Policies Food Safety Policy, POL-001 Procedures Control of Documents, SOP-001 Work instructions Not applicable Forms Master Document Register Other Document Management System (DMS) 3 Definitions CHAPTER Term or acronym Description DMS document management system FBO food business operator FSMS food safety management system 4 4 Introduction Records are documents stating the results achieved or providing evidence of the activities performed. Records can be in either hard copy or soft copy (respectively, for example, paper or electronic) and must be managed. The management of records is a critical factor in a food safety management system (FSMS) because, without the availability of records, the company is unable to verify that required activities have taken place or that results have been achieved. Classification Company Confidential Control of Records Procedure Doc ID: SOP-002 Printed: Controller: Document Controller Page 2 of 4 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 230  ▪  FOOD SAFETY HANDBOOK Control of Records 5 Procedure Flowchart Responsibility Process Records 1 Master records Process owner/ Records generated from list (DMS) department output of processes manager 2 Process owner/ Records filed in defined Master records department locations and maintained list (DMS) manager for retention purposes Process owner/ 3 Master records Yes No department Retention period list (DMS) manager reached Process owner/ 4 Master records 3a 3b Ongoing legibility, food safety list (DMS) Archival Disposal identification, and manager retrievability reviewed Disposal list through internal auditing Process owner/ Disposal food safety 3c End authorization manager/ Warehousing 5 internal auditors Records and associated Certificate of data reviewed prior to destruction presentation for management review 6 Procedure Notes 4 Steps 1 and 2 CHAPTER Through daily activities, food safety records are generated that provide evidence of the completion of activities and the achievement of results. These records are held in accordance with defined reten- tion times and to ensure the preservation of the contents, their identification, and their legibility. Retention times vary across regions based on local law. The food business operator (FBO) should include an annex in this procedure showing the retention times per controlled record. The storage of records should ensure that the original records are maintained despite subsequent amendments. These requirements are listed on the records master list. Step 3 Once the retention period relevant to the records has been reached, a decision must be made about what is going to happen to the records. This decision is made by the process owner and the food safety manager. The food safety team will be queried to determine if any compliance issues related to the specific records exist and need to be met. Steps 3a and 3b If a decision to archive the records is made, these records must be suitably boxed to preserve their integrity. The contents of the box must be labeled clearly (date, type of record, origin of record, and so on). An e-mail is then sent by the process owner or the process owner’s delegate to the warehouse informing the warehouse team to expect the delivery of the box. The process owner or the process owner’s delegate will arrange for the delivery of the box to the warehouse. Classification Company Confidential Control of Records Procedure Doc ID: SOP-002 Printed: Controller: Document Controller Page 3 of 4 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Control of Records   ▪    231 Control of Records Step 3c If the decision is to dispose of the records, the process owner and the food safety manager must authorize this disposal. A list of all documents to be disposed of must be created and signed off by the above to signify their approval to dispose of the records. It is the responsibility of the process owner to create the disposal list and obtain the necessary approvals for disposal. If such records are held in the warehouse, a written instruction must be sent, following authorization, to the warehouse instruct- ing the warehouse team to dispose of the records. Records must be disposed of in a fully traceable and confidential manner using an approved disposal company. Shredding is the preferred method for the disposal of records. It is the responsibility of the food safety manager to obtain a certificate of destruction from the disposal company. The certificate of destruction must be attached to the disposal list and maintained by the food safety manager. Step 4 If the retention times are not reached, the control of records is monitored as part of the internal audit- ing process, that is, FSMS internal auditing. Step 5 The management and control of records will be reviewed as part of the management review process, under the agenda heading of documentation. 7 Records CHAPTER Document Location Duration of record Responsibility Records master list Food Safety Office Indefinitely Food safety manager Disposal list Food Safety Office Three years Food safety manager Disposal authorization Food Safety Office Three years Food safety manager Certificate of destruction Food Safety Office Three years Food safety manager Warehouse storage location list Warehouse manager Indefinitely Warehouse manager 4 Classification Company Confidential Control of Records Procedure Doc ID: SOP-002 Printed: Controller: Document Controller Page 4 of 4 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 232  ▪  FOOD SAFETY HANDBOOK CONTROL OF NONCONFORMING PRODUCT An FBO Procedure Document No. Standard operating procedure SOP-003 Created April 20, 2018 Updated January 13, 2019 Controller Document Controller Owner Food Safety Manager Confidentiality Statement Information in this document must be kept confidential as per the document’s classification below and the rules of disclosure. All FBO documents are classified in the following way. PUBLIC documents are intended for anyone. COMMER- CIAL IN CONFIDENCE documents are to be kept confidential among restricted individuals within the FBO and partner organizations. COMPANY CONFIDENTIAL documents are to be kept confidential within the FBO and used for normal business activities by the general office population. HIGHLY CONFIDENTIAL documents are to be kept confidential among restricted individuals within the FBO. © Copyright FBO. All rights reserved. No part of this publication may be reproduced, stored in a retrieval system, or transmitted in any form or by any means, electronic, mechanical, photocopying, recording, or otherwise, without the written permission of the FBO. Classification Company Confidential Revision History Date Version Author Comments (including review history) 4 April 20, 2018 Draft 01 Joe Bloggs Initial document for review and discussion CHAPTER April 24, 2018 V1.0 Joe Bloggs Approved and released by the process owner January 13, 2019 V1.1 Joe Bloggs The related documents have been updated, and the sections on effectiveness have been verified ­ Contents 1 Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 233 5 Procedure Flowchart. . . . . . . . . . . . . . . . . . . . . . 235 2 Related Documents. . . . . . . . . . . . . . . . . . . . . . . 233 6 Procedure Notes. . . . . . . . . . . . . . . . . . . . . . . . . . 236 3 Definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 233 7 Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 237 4 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 234 Classification Company Confidential Control of Nonconforming Product Procedure Doc ID: SOP-003 Printed: Controller: Document Controller Page 1 of 6 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Control of Nonconforming Product   ▪    233 Control of Nonconforming Product 1 Summary Purpose The purpose of this procedure is to describe the methodology utilized by the food business operator (FBO) to control instances where expected outputs have not met requirements. Scope This procedure applies to product delivery, that is, ingredients, raw materi- als, and intermediate or finished products at all levels in the organization. Functional The functional responsibility for this procedure lies with the food safety responsibility manager. The food safety manager is responsible for the effective implemen- tation and maintenance of this procedure. 2 Related Documents Policies Food Safety Policy, POL-001 Customer/Consumer Complaints Policy, POL-002 Processes Departmental process descriptions Procedures Correction and Corrective Action, SOP-009 Work instructions Not applicable Forms Nonconformance log (document management system [DMS]) Other Not applicable CHAPTER 3 Definitions Term or acronym Description Characteristic Distinguishing feature, inherent or assigned, qualitative or quantitative Complaint Expression of dissatisfaction made to an organization related to the organi- zation’s products or services, or the complaints-handling process itself where 4 a response or resolution is explicitly or implicitly expected Concession Permission to release a product or a service that does not conform to ­specified requirements Correction Action to eliminate a detected nonconformity Corrective action Action to eliminate the cause of a nonconformity and to prevent recurrence Customer Person or organization that could not or does not receive a product or a service that is intended for or required by this person or organization ­ Customer satisfaction Customer’s perception of the degree to which the customer’s expectations have been fulfilled Defect Nonconformity related to an intended or specified use FBO food business operator Feedback Opinions, comments, and expressions of interest in a product, a service, or a complaints-handling process Classification Company Confidential Control of Nonconforming Product Procedure Doc ID: SOP-003 Printed: Controller: Document Controller Page 2 of 6 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 234  ▪  FOOD SAFETY HANDBOOK Control of Nonconforming Product Term or acronym Description FSMS food safety management system FSSC Food Safety System Certification Nonconformity Nonfulfillment of a requirement Product Output that is a result of activities none of which are necessarily performed at the interface between the provider and the customer. For the FBO, this can be an ingredient, raw material, intermediate product, or finished prod- uct supplied to a customer or consumer. Regulatory Obligatory requirement specified by an authority mandated by a legislative requirement body Risk The effect of uncertainty on an expected result Root cause A cause that, once removed from the problem-fault sequence, prevents the final undesirable event from recurring Root cause analysis A method of problem solving that involves an attempt to identify the root cause of the fault or problem Service Intangible output that is the result of at least one activity necessarily performed at the interface between the provider and the customer ­ Statutory requirement Obligatory requirement specified by a legislative body 4 Introduction 4 A nonconforming product results if a defined requirement is not being met. Examples of a noncon- forming product include, but are not limited to, the following: CHAPTER ▪▪ Breach of statutory or regulatory compliance ▪▪ Failure to implement and maintain a requirement of Food Safety System Certifi- cation (FSSC) 22000, BRC Global Standards, Safe Quality Food Safety Code, or other ▪▪ Failure to meet a customer requirement, whether specified or implied ▪▪ Failure to deliver a required process output Customer complaints are handled in accordance with POL-002 Customer/Consumer Complaints Policy. All instances of nonconforming service must be identified, investigated, and resolved to ensure con- tinual improvement of the food safety management system (FSMS) and the service provided by the organization. Classification Company Confidential Control of Nonconforming Product Procedure Doc ID: SOP-003 Printed: Controller: Document Controller Page 3 of 6 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Control of Nonconforming Product   ▪    235 Control of Nonconforming Product 5 Procedure Flowchart Responsibility Process Records Communication 1 records Potential Employee nonconformance Audit finding identified 2 Nonconformance Relevant department Record noncompliance log 3 Investigation Relevant department Complete investigation report 4 No Record Nonconformance Relevant department/ Actual justification log food safety nonconformance? Yes Nonconformance 5 Relevant department log Correction taken Nonconformance CHAPTER 6 log Relevant department Complete root cause analysis and determine Root cause impacts analysis 7 Nonconformance Relevant department Corrective action(s) log 4 Relevant department/ 8 Evidence of food safety E ective? test/verification 9 Nonconformance Relevant department/ Close out log food safety nonconformance Classification Company Confidential Control of Nonconforming Product Procedure Doc ID: SOP-003 Printed: Controller: Document Controller Page 4 of 6 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 236  ▪  FOOD SAFETY HANDBOOK Control of Nonconforming Product 6 Procedure Notes Steps 1 and 2 Identification and Recording of Nonconformance Any employee can identify a potential nonconformity in relation to the provision of a service, or a nonconformity can be notified to the food business operator (FBO) by an external source. Once received, the potential nonconformity must be documented in the FSMS. Step 3 Complete Investigation An investigation must be conducted by the appropriate department to determine the validity of the potential nonconformity. This investigation will be in proportion to the potential risks that may arise based on the potential nonconformity. If there is a risk to compliance, the food safety manager/man- agement representative will be notified immediately, and direction and assistance sought. The results of the investigation will be documented and forwarded to the food safety departments for review. Step 4 Actual Nonconformance A decision will be made based on the outcome of the investigation as to whether a nonconformance exists. If all parties agree (the food safety department and the relevant affected department) that no nonconformance exists, then the justification for this decision will be documented and the matter closed. Step 5 Correction If, based on the outcome of the investigation, it is found that a nonconformance does exist, the required correction will be taken immediately to resolve the issue. 4 Step 6 Root Cause Analysis CHAPTER A full and thorough root cause analysis will be conducted to identify the root cause of the issue. This root cause analysis will be based on a recognized methodology (the 5 whys, a fishbone diagram, the 8Ds, and so on) and documented. Assistance may be sought from external parties if required. The root cause cannot be stated simply as human error. If this occurs, the root cause analysis must be rerun. If the root cause analysis identifies other potential risks, then the appropriate preventive action must be identified, documented, and implemented. Step 7 Corrective Action Based on the root cause identified in the previous step, the required corrective actions will be identi- fied, documented, and implemented. The responsibilities and time frames for these corrective actions will be established and documented. If corrective action is planned to occur over a long time period, appropriate monitoring or measurement must be established to track the progress and effectiveness of the corrective actions. Step 8 Verification of Effectiveness After a suitable period of time has elapsed following the implementation of corrective action, the effectiveness of the corrective action must be determined. The corrective action is aimed at eliminating the cause of the nonconformity and preventing recurrence. Hence, the validation and verification of effectiveness must test the possibility that the nonconformity will recur. This step must be completed Classification Company Confidential Control of Nonconforming Product Procedure Doc ID: SOP-003 Printed: Controller: Document Controller Page 5 of 6 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Control of Nonconforming Product   ▪    237 Control of Nonconforming Product before the corrective action can be closed. If the test is satisfactory, the corrective action can be closed. The test that is performed or the data that are reviewed as part of this process must be documented. Assistance from external sources may be utilized for the review of effectiveness. If the test shows that the corrective action has not been effective, then the root cause analysis must be revisited to ensure that the correct cause was identified, and the process must be repeated. Step 9 Closure If the verification of the effectiveness of the corrective action is successful in determining that the nonconformity has been rectified, then the matter is closed out and recorded as closed. 7 Records Document Location Duration of Responsibility record Nonconformance log Document manage- Indefinitely Food safety manager/­ ment system (DMS) management representative Root cause analysis Relevant department Indefinitely Process owner/department manager Investigation report Relevant department Indefinitely Process owner/department manager Evidence of the verification Relevant department Indefinitely Process owner/department of effectiveness manager CHAPTER 4 Classification Company Confidential Control of Nonconforming Product Procedure Doc ID: SOP-003 Printed: Controller: Document Controller Page 6 of 6 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 238  ▪  FOOD SAFETY HANDBOOK HYGIENE PROCEDURE An FBO Procedure Document No. Standard operating procedure SOP-005 Created April 20, 2018 Updated January 13, 2019 Controller Document Controller Owner Food Safety Manager Confidentiality Statement Information in this document must be kept confidential as per the document’s classification below and the rules of disclosure. All FBO documents are classified in the following way. PUBLIC documents are intended for anyone. COMMER- CIAL IN CONFIDENCE documents are to be kept confidential among restricted individuals within the FBO and partner organizations. COMPANY CONFIDENTIAL documents are to be kept confidential within the FBO and used for normal business activities by the general office population. HIGHLY CONFIDENTIAL documents are to be kept confidential among restricted individuals within the FBO. © Copyright FBO. All rights reserved. No part of this publication may be reproduced, stored in a retrieval system, or transmitted in any form or by any means, electronic, mechanical, photocopying, recording, or otherwise, without the written permission of the FBO. Classification Company Confidential Revision History Date Version Author Comments (including review history) 4 April 20, 2018 Draft 01 Joe Bloggs Initial draft for review and discussion CHAPTER April 24, 2018 V1.0 Joe Bloggs Reviewed and approved by process owner January 13, 2019 V1.1 Joe Bloggs Updated the related documents section Contents 1 Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 239 6.2 Cleaning and Housekeeping . . . . . . . . . . . 242 2 Related Documents. . . . . . . . . . . . . . . . . . . . . . . 239 6.3 Hygienic Maintenance in Medium and High Hygiene Areas������������������������������������ 243 3 Definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 239 6.4 Waste in Medium and High 4 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . 240 Hygiene Areas �������������������������������������������� 243 5 Procedure Flowchart. . . . . . . . . . . . . . . . . . . . . 240 6.5 Hygiene Training . . . . . . . . . . . . . . . . . . . . . 243 6 Procedure Notes. . . . . . . . . . . . . . . . . . . . . . . . . 240 6.6 Reporting Illness and Injury. . . . . . . . . . . . 243 6.1 Hygiene Rules. . . . . . . . . . . . . . . . . . . . . . . 240 7 Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 244 Hygiene Procedure Classification Company Confidential This document is uncontrolled if printed. Doc ID: SOP-005 Printed: Controller: Document Controller Page 1 of 7 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Hygiene Procedure   ▪    239 Hygiene Procedure 1 Summary Purpose To comply with legal requirements, all workers in direct contact with food and food processing lines must maintain a high standard of personal hygiene and hygiene routines, which are outlined in this procedure. Scope This procedure is valid for the food business operator (FBO) and applies to all staff working at the FBO and to visitors, contractors, and part-time and temporary workers present on the premises. Functional The functional responsibility for this procedure lies with the food safety responsibility manager. 2 Related Documents Policies Food Safety Policy, POL-001 Processes Food Safety, PRO-001 Procedures Visitor Control, SOP-004 Internal Audit, SOP-006 Correction and Corrective Action, SOP-009 Change Management, SOP-011 Contractor Control, SOP-049 Work instructions Not applicable CHAPTER Forms Not applicable Other Not applicable 3 Definitions Term or acronym Description 4 Basic hygiene area The area of food tasting and handling for research and development; at the food business operator (FBO), includes development and sensory labs Correction Immediate action to correct a problem or potential problem Corrective action Action aimed at addressing the root cause of a problem and preventing recurrence FBO food business operator High hygiene area A critical hygienic area within the plant in which products and ingredients vulnerable to contamination or microbial growth are processed, treated, handled, or stored Medium hygiene area The area of food handling in which food is produced, processed, stored, and packaged; at the FBO, includes only the production plant Hygiene Procedure Classification Company Confidential This document is uncontrolled if printed. Doc ID: SOP-005 Printed: Controller: Document Controller Page 2 of 7 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 240  ▪  FOOD SAFETY HANDBOOK Hygiene Procedure 4 Introduction The great majority of people will experience a food- or waterborne disease at some point in their lives. This highlights the importance of ensuring that food is not contaminated with potentially harmful bacteria, parasites, viruses, toxins, or chemicals. Over the past half century, the process by which food travels from the farm to the plate has changed drastically. Food contamination that occurs in one place may affect the health of consumers living on the other side of the planet. This means that everyone along the production chain, from producer to consumer, must observe safe food handling practices. Good food hygiene is essential if the food business operator (FBO) is to make or sell food that is safe to eat. The FBO and staff must understand what good food hygiene is. Good food hygiene helps the FBO to accomplish the following: ▪▪ Obey laws and regulations and maintain standards ▪▪ Reduce the risk of food poisoning among consumers ▪▪ Protect the business’s reputation 5 Procedure Flowchart Not applicable. 6 Procedure Notes 4 CHAPTER 6.1 Hygiene Rules PERSONAL HYGIENE RULES ▪▪ Nails must be clean and neatly trimmed, without nail polish or artificial nails. ▪▪ No strong perfumes or strongly scented personal care products or heavy makeup are to be worn, for example, false eyelashes. ▪▪ Cuts and lesions must be fully covered with approved (blue), waterproof, metal detectable Band-Aids, which can be obtained with any first aid kit. Any lost dress- ing must be reported to the supervisor immediately. ▪▪ All unhygienic practices, such as spitting, coughing or sneezing over food, or consuming food dropped on the floor, are unacceptable. ­ ▪▪ Personnel and others must wash their hands before they enter the premises and after handling any dirty objects, including waste, floors, shoes, money, and so on. ▪▪ Gloves should be worn if only the aesthetic appeal of products is endangered or for personal safety reasons. They may never be used to replace handwashing. ▪▪ White workwear and protective clothing must be removed before entering toilet cubicles and should not be replaced until hands have been washed. ▪▪ The FBO is a nonsmoking site; smoking is allowed only in designated areas. ▪▪ Personal safety gear must be worn whenever necessary. Hygiene Procedure Classification Company Confidential This document is uncontrolled if printed. Doc ID: SOP-005 Printed: Controller: Document Controller Page 3 of 7 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Hygiene Procedure   ▪    241 Hygiene Procedure ▪▪ Personal items, such as smoking materials and medicines, are allowed in designated areas only. ▪▪ Personal lockers should be maintained clean and tidy and kept free of rubbish and soiled clothing. HEALTH STATUS CONTROL ▪▪ Subject to legal restrictions in the country of operation, employees must undergo a medical examination prior to employment in food contact operations, including site catering, unless documented hazards or medical assessment indicate otherwise. ▪▪ Additional medical examinations, where permitted, shall be carried out at intervals defined by the organization. BASIC HYGIENE AREAS (DEVELOPMENT AND SENSORY LABS) ▪▪ Maintain a high level of personal hygiene according to the personal hygiene rules listed above. ▪▪ Wear workwear and protective clothing coats and hairnets while handling products that will be tasted. ▪▪ For bench tasting, workwear and protective clothing is a minimum requirement. ▪▪ Additional hygiene rules may be set by the tasting organizer if necessary. ▪▪ Employee’s private foods should be stored separately, and the private foods should not be handled or consumed where FBO food products are handled or tasted. ▪▪ Clean and sanitize hands after handling private foods. CHAPTER MEDIUM HYGIENE AREAS (PROCESSING PLANT) ▪▪ Maintain a high level of personal hygiene according to the personal hygiene rules listed above. ▪▪ Workwear and protective clothing should be changed daily. ▪▪ Wear clothing that is clean and in appropriate colors, if required, including work- wear, protective clothing, hairnets, and safety shoes while working. 4 ▪▪ Wash hands before entering work. ▪▪ Eating, drinking, or chewing is forbidden in the medium hygiene area. ▪▪ Remove all jewelry before entering work except any plain solid band wedding ring. ▪▪ Placing writing implements behind the ears is prohibited. ▪▪ Product contact tools and equipment should not be stored in personal lockers. ▪▪ Fully enclosed shoes must be worn when entering or working in the processing plant. HIGH HYGIENE AREAS (PROCESSING AREA: FILING) ▪▪ Access to high hygiene areas is allowed only to those wearing clothing that is clean and in appropriate colors, if required, including workwear and protective clothing. Hair must be covered. Hands must be washed and, if necessary, disinfected before each entry. Disinfectant boot dip mats may be required. ▪▪ Prior to the start of a new process, stringent controls must be run on cleanliness and disinfection. Hygiene Procedure Classification Company Confidential This document is uncontrolled if printed. Doc ID: SOP-005 Printed: Controller: Document Controller Page 4 of 7 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 242  ▪  FOOD SAFETY HANDBOOK Hygiene Procedure ▪▪ For a new process, access is only allowed to specially trained personnel. ▪▪ No wooden pallets, cardboard, or other unhygienic materials are permitted. ▪▪ Unimpeded air flows and proper ventilation out of the area are required to ­ maintain the higher pressure within the area. VISITORS AND CONTRACTORS ▪▪ It is the responsibility of FBO employees to ensure that all visitors and contractors understand the hygiene and safety rules and to check that visitors and contractors follow the rules when on site. ▪▪ The contact person will give the visitor control form to visitors and contractors when they arrive. Visitors and contractors are to read the form carefully, under- stand it, and then sign it in the place provided at the bottom. ▪▪ The contact person should keep the signed form and is responsible for ensuring that the visitors and contractors follow the rules listed on the form. ▪▪ White coats for visitors and contractors must be available, and they will be given to the visitors and contractors by the contact person. 6.2 Cleaning and Housekeeping ALL HYGIENE AREAS ▪▪ Working areas must be clean and tidy at all times. ▪▪ A clean-as-you-go approach should be adopted in cleaning; regularly inspect for 4 residues. CHAPTER MEDIUM AND HIGH HYGIENE AREAS ▪▪ Follow the cleaning procedure and schedule in the processing plant master plans. Equipment must always be cleaned after each use to prevent hygiene issues, such as pest infestation and microbiological contamination. ▪▪ Post signs, as follows, in medium hygiene areas. The signs should be color-coded to indicate the types of tools that may be used or the places where the tools may be used. Tools associated with separate colors must be stored separately from each other. White–food contact surfaces only Yellow–the surfaces of food equipment or packaging only (drums, boxes, bags, and so on) Red–warehouse and maintenance shop only Black–floors, walls, pipes, and ceiling surfaces only Black oval–drain surfaces only Hygiene Procedure Classification Company Confidential This document is uncontrolled if printed. Doc ID: SOP-005 Printed: Controller: Document Controller Page 5 of 7 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Hygiene Procedure   ▪    243 Hygiene Procedure 6.3 Hygienic Maintenance in Medium and High Hygiene Areas ▪▪ Equipment sent for maintenance should be cleaned before reinstallation in the pro- cessing plant. Particular attention should be paid to food contact surfaces, which require thorough cleaning and sanitizing. ▪▪ Working tools must be stored in assigned containers and must not be placed on or above food contact surfaces. The tools should be removed from the processing plant immediately after work. ▪▪ The use of food-grade lubricants is mandatory unless technological reasons prevent their use. All exceptions should be approved by the manager. Lubricants should be applied in appropriate quantities to avoid excess lubricant falling onto or into products. ▪▪ Material that could taint any food product or ingredient (such as paint, glue, and so on) must not be brought onto the site. Contractors need to acquire written per- mission from the FBO food safety department to use such materials. ▪▪ Obsolete or unused equipment should be removed on a regular basis. ▪▪ Apply the change management procedure for any equipment change. 6.4 Waste in Medium and High Hygiene Areas Food contact waste and other garbage should be stored and eliminated separately. Orange bags should be used for food scraps and animal feed. 6.5 Hygiene Training CHAPTER ▪▪ New personnel will undergo an initial hygiene induction training session ▪▪ Once a year, all staff working in hygiene areas must be retrained by the food safety department ▪▪ Training may be required of contractor staff working in medium hygiene areas over a period of time or on a regular basis 4 6.6 Reporting Illness and Injury If an employee or a member of an employee’s household suffers from one of the following conditions, then the employee must report this immediately upon returning to work to the line manager. It is the manager’s responsibility to discuss the symptoms with the employee. ▪▪ Jaundice ▪▪ Diarrhea ▪▪ Vomiting ▪▪ Fever ▪▪ Sore throat with fever ▪▪ Visibly infected skin (boils, cuts) ▪▪ Discharge from ear, eye, or nose Hygiene Procedure Classification Company Confidential This document is uncontrolled if printed. Doc ID: SOP-005 Printed: Controller: Document Controller Page 6 of 7 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 244  ▪  FOOD SAFETY HANDBOOK Hygiene Procedure No person with such a health problem shall be permitted to work in medium hygiene areas. Each such person must avoid handling food for at least 48 hours after the last episode of vomiting or diarrhea has occurred to prevent contamination of the food produced at the FBO. If an employee contracts an ailment or disease while traveling abroad for business or personal rea- sons, it is the employee’s responsibility to contact a doctor upon return to obtain information and advice about the ailment or the disease and report the health problem to the line manager on the first day back to work. 7 Records Document Location Duration of record Responsibility Signed training participant Food Safety Office Seven years Food safety manager lists (hard copies) Visitor control form Food Safety Office Seven years Food safety manager 4 CHAPTER Hygiene Procedure Classification Company Confidential This document is uncontrolled if printed. Doc ID: SOP-005 Printed: Controller: Document Controller Page 7 of 7 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Internal Auditing   ▪    245 INTERNAL AUDITING An FBO Procedure Document No. Standard operating procedure SOP-006 Created April 20, 2018 Updated January 13, 2019 Controller Document Controller Owner Food Safety Manager Confidentiality Statement Information in this document must be kept confidential as per the document’s classification below and the rules of disclosure. All FBO documents are classified in the following way. PUBLIC documents are intended for anyone. COMMER- CIAL IN CONFIDENCE documents are to be kept confidential among restricted individuals within the FBO and partner organizations. COMPANY CONFIDENTIAL documents are to be kept confidential within the FBO and used for normal business activities by the general office population. HIGHLY CONFIDENTIAL documents are to be kept confidential among restricted individuals within the FBO. © Copyright FBO. All rights reserved. No part of this publication may be reproduced, stored in a retrieval system, or transmitted in any form or by any means, electronic, mechanical, photocopying, recording, or otherwise, without the written permission of the FBO. Classification Company Confidential Revision History Date Version Author Comments (including review history) CHAPTER April 20, 2018 Draft 01 Joe Bloggs Initial document for review and discussion April 24, 2018 V1.0 Joe Bloggs Approved for release by process owner January 13, 2019 V1.1 Joe Bloggs Updated to reflect changes in International Organization for Standardization (ISO) 19011:2018 4 Contents 1 Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 246 5 Procedure Flowchart. . . . . . . . . . . . . . . . . . . . . . 249 2 Related Documents. . . . . . . . . . . . . . . . . . . . . . . 246 6 Procedure Notes. . . . . . . . . . . . . . . . . . . . . . . . . . 249 3 Definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 246 7 Audit Records . . . . . . . . . . . . . . . . . . . . . . . . . . . . 252 4 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 248 8 Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 252 Classification Company Confidential Internal Auditing Procedure Doc ID: SOP-006 Printed: Controller: Document Controller Page 1 of 8 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 246  ▪  FOOD SAFETY HANDBOOK Internal Auditing 1 Summary Purpose The purpose of this procedure is to describe the following: • The internal audit methodology employed based on International Organi- zation for Standardization (ISO) 19011:2018 to ensure that the food safety management system (FSMS) remains suitable, adequate, and effective in meeting business and customer compliance requirements and the require- ments of ISO 22000:2018 and Food Safety System Certification (FSSC) 22000 and that the FSMS is effectively implemented and maintained Scope This procedure applies to the following: • Audit program planning, performance, and follow-up, including audit ini- tiation, audit preparation, conducting the audit, preparing and distribut- ing the audit report, completing the audit, and audit follow-up if required • Compliance and conformance auditing Functional The functional responsibility for this procedure lies with the food safety man- responsibility ager, who is responsible for the effective implementation and maintenance of the procedure. 2 Related Documents Policies Food Safety Policy, POL-001 Processes Departmental process descriptions 4 Procedures Correction and Corrective Action Procedure, SOP-009 Management Review Procedure, SOP-021 CHAPTER Work instructions Not applicable Forms FSMS auditing checklist Other Statutory and regulatory requirements: FSSC 22000 ISO 22000:2018 ISO 19011:2018 3 Definitions Term or acronym Description Audit conclusion The outcome of the audit after consideration of the audit objectives and all audit findings Audit criteria Set of requirements used as a reference against which objective evidence is compared Audit evidence Records, statements of fact, or other information that is relevant to the audit criteria and verifiable Classification Company Confidential Internal Auditing Procedure Doc ID: SOP-006 Printed: Controller: Document Controller Page 2 of 8 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Internal Auditing   ▪    247 Internal Auditing Term or acronym Description Audit finding Results of the evaluation of collected audit evidence against the audit criteria Audit plan Description of the activities and arrangements in an audit Audit program Arrangements for a set of one or more audits planned for a specific time frame and directed toward a specific purpose Audit scope The extent and boundaries of the audit Auditor An individual with the demonstrated personal attributes and competence to conduct an audit Combined audit An audit carried out together at a single auditee on two or more systems, for example, FSSC 22000, ISO 9001:2015, and so on Compliance auditing Determination of the compliance with defined statutory, regulatory, and customer legal obligation requirements Conformance auditing Determination of conformity with defined international standards, such as FSSC 22000, ISO 22000:2018, and so on Correction Action taken to eliminate a detected nonconformity Corrective action Action taken to eliminate the cause of a nonconformity and prevent recurrence FBO food business operator FSMS food safety management system FSSC Food Safety System Certification CHAPTER High-risk finding A significant weakness in the system or process requires immediate rectification Internal audit A systematic and independent process for obtaining audit evidence and evaluating it objectively to determine the extent to which audit criteria are fulfilled ISO International Organization for Standardization 4 Low-risk finding A general weakness in the system or process that, if rectified immediately, could improve efficiency Major finding A total breakdown or absence of objective evidence to satisfy one or more FSMS requirements or a situation that would, on the basis of available objec- tive evidence, raise significant doubt as to the quality of the product that the organization is supplying Medium-risk finding A potentially significant weakness in the system or process that, if not rectified immediately, may lead to high risk ­ Minor finding A finding, in a defined and documented system that generally satisfies one or more FSMS requirements, that a situation, on the basis of available objective evidence, raises a concern about the potential quality of what the organiza- tion is supplying, for example, the system or one or more processes have not reached an acceptable level of maturity Nonconformity The nonfulfillment of a requirement Classification Company Confidential Internal Auditing Procedure Doc ID: SOP-006 Printed: Controller: Document Controller Page 3 of 8 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 248  ▪  FOOD SAFETY HANDBOOK Internal Auditing Term or acronym Description Objective evidence Data supporting the existence or verity of an event or item Risk The effect of uncertainty Root cause analysis A method of problem solving that involves the attempt to identify the root cause of faults or problems SWOT analysis A section of the audit report in which the audit team categorizes the audit findings on strengths, weaknesses, opportunities, and threats (SWOT) 4 Introduction Internal auditing is undertaken to monitor and measure the company’s compliance against statutory and regulatory requirements and the company’s conformity with the requirements of the food safety management system (FSMS). Internal audits are scheduled on a planned basis and conducted by trained internal auditors, whose findings are reported to management for review and action. If the audit findings highlight problems, the auditee is required to provide a commitment to addressing and resolving the issues. The internal auditor seeks evidence of the effective implementation of the subsequent actions of the auditee. The results of the internal audits and the overall effectiveness of the internal audit program are reported at the management review meeting. 4 CHAPTER Classification Company Confidential Internal Auditing Procedure Doc ID: SOP-006 Printed: Controller: Document Controller Page 4 of 8 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Internal Auditing   ▪    249 Internal Auditing 5 Procedure Flowchart Responsibility Process Records 1 Internal audit Food safety manager/ Initiating program top management the audit Audit plan(s) 2 Audit trail Auditors Preparing the audit activities Audit checklist Audit plan(s) 3 Audit trail Auditors Conducting Audit checklist the audit Audit finding(s) 4 Audit Auditors Preparing the audit report report for distribution 5 Audit CHAPTER Food safety manager Completing report the audit 6 Audit Auditor/auditee Conducting audit findings follow-up 4 7 End 6 Procedure Notes Step 1 The food safety manager has the responsibility to create and manage the internal audit process. This involves establishing initial contact with the auditee(s) and reaching agreement on the following: ▪▪ Audit objectives, scope, criteria, methods, and audit team composition, including any technical experts ▪▪ Provide relevant information for planning, including information on the risks and opportunities the organization has identified and how they are being addressed ▪▪ Agree on the dates of the audit Classification Company Confidential Internal Auditing Procedure Doc ID: SOP-006 Printed: Controller: Document Controller Page 5 of 8 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 250  ▪  FOOD SAFETY HANDBOOK Internal Auditing ▪▪ Identify the resources needed to complete the audit, including access to the required people, processes, activities, and documentation ▪▪ Assess the statutory and regulatory requirements during the audit ▪▪ Confirm the agreement with the auditee on the extent of the disclosure and the treatment of confidential information ▪▪ Confirm any location-specific arrangements for access, health and safety, security, confidentiality, or other ▪▪ Gauge the need for observers or guides ▪▪ Determine any specific areas of concern for the auditee The output of this phase is the development of an audit program outlining the audits to be completed over a defined period. The process may also identify the internal auditor assigned to the audit. Once completed, the program will be published and communicated across the company. Step 2 Each individual internal auditor is responsible for creating the following: ▪▪ An audit plan, including audit objectives, scope, and criteria ▪▪ An audit checklist or audit protocol ▪▪ The auditing methods to be used, including the extent to which audit sampling is needed to obtain sufficient evidence for the audit Audit plans, checklists, and trails will be based on templates to ensure consistency. Audit planning should consider the risks of the audit activities on the auditee’s processes and provide the foundation 4 for agreement among the interested parties based on the information in the audit program and the CHAPTER documented information provided by the auditee. Once documented by the internal auditor, the audit plan will be communicated to the relevant auditee(s). Some audits will be unannounced, as directed by the food safety manager. If this is the case, no audit plan may be produced. However, the food safety manager will fully brief the internal auditor on the objectives, scope, and criteria of the audit. Step 3 The internal auditor will conduct the audit in accordance with the plan. Audit checklists or audit trails will be used by the auditor to record audit evidence. Audits will be conducted using interview, observation, reviews of records and documents, and analysis of data. Trend analysis and tests may also be utilized to gather evidence as required. The details to be recorded on the checklist or audit trails include information on the requirement that is being checked, the evidence gathered, the con- formance indication, and the identification of the auditee. In the event that an internal auditor identifies a nonconformity based on objective evidence, the inter- nal auditor will inform the process owner/head of department about the issue and explain the nature of the nonconformity, why it is a nonconformity, and the requirement that has not been fulfilled. The internal auditor will document the nonconformity in the checklist or audit trail and obtain the signature of the auditee signifying the auditee’s acceptance of the issue and the commitment to rectify the issue. The internal auditor will classify the audit finding as major, minor, or an opportunity for improvement based on the risk. Classification Company Confidential Internal Auditing Procedure Doc ID: SOP-006 Printed: Controller: Document Controller Page 6 of 8 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Internal Auditing   ▪    251 Internal Auditing It is solely the responsibility of the process owner/head of department, if audit findings highlight problems, to rectify the issues. Correction must be undertaken; a root cause analysis using a recog- nized root cause analysis methodology, for example, 5 whys, a fishbone diagram, and so on, must be completed, and corrective action identified and implemented. A response plan must be submitted to the internal auditor by the auditee within an agreed time frame of the audit. It must outline the cor- rection, root cause analysis, and corrective action(s), including a risk assessment. The internal auditor will review the response plan and approve or reject it. Thus, if there is no root cause analysis, the root cause analysis is inadequate, and so on. If the plan is rejected, the auditee must correct the response plan and resubmit it for approval. All audit findings should be closed out within 12 weeks of the issuance of the findings. Exceptions may be granted, subject to the approval of the internal auditor and the food safety manager/management representative. As appropriate, the auditee should keep the individuals managing the audit program or the audit team informed of the status of these actions. The outputs of this phase should be that the audit objective has been achieved, the audit plan has been carried out, the checklists/audit trails have been completed, if applicable, and audit findings and a response plan have been received from the process owner/head of department. Step 4 The internal auditor will prepare an audit report outlining the audit conclusions. The conclusions are based on a comparison of all the audit findings against the audit objective. The report will be detailed and cover the following points at a minimum: ▪▪ Identification of the audit objective, scope, and criteria ▪▪ Identification of the auditor and process owner(s)/head of department CHAPTER ▪▪ The audit conclusions ▪▪ An executive summary ▪▪ The audit findings on strengths, weaknesses, opportunities, and threats (SWOT) ▪▪ A description of the process, critical process parameters, and process performance ▪▪ The number and classification of the audit findings ▪▪ The audit findings in detail 4 ▪▪ Sample/confidentiality statement ▪▪ Audit follow-up ▪▪ Audit checklist or audit trail, as an attachment The audit report will then be released to the food safety manager and the process owner/head of department. Step 5 The audit is completed when all planned audit activities have been completed or otherwise agreed with the process owner. For instance, there may have been an unexpected event that prevented the audit plan from being completed. The food safety manager will review the audit report to ensure that all technical aspects of the audit plan have been covered, the evidence gathered is objective and related to the audit criteria, and the audit conclusions reached are correct. The food safety manager will also manage any appeals raised by the process manager/head of department in relation to an audit finding. If agreement cannot be Classification Company Confidential Internal Auditing Procedure Doc ID: SOP-006 Printed: Controller: Document Controller Page 7 of 8 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 252  ▪  FOOD SAFETY HANDBOOK Internal Auditing reached between the food safety manager and the process owner/head of department, the food safety manager will elevate the issue to the executive management team for resolution. Step 6 Based on the response plan submitted by the process owner and the agreed closure time frame, the internal auditor will follow up to ensure that all audit findings have been effectively closed out. This will be achieved through the evaluation of the risk assessment and effectiveness checks. The effectiveness checks must be completed before the corrective action risk assessment can be closed. The purpose of these follow-up checks is to ensure that the stated actions have been implemented and that they have been effective in solving the stated problem. If satisfied, the internal auditor will close the audit findings. If the internal auditor does not agree to close the audit findings, agreement on the actions to be taken will be determined between the internal auditor and the auditee. 7 Audit Records The following documentation will be maintained as evidence that the audits have been performed: ▪▪ Audit plan ▪▪ Audit checklist/audit trail ▪▪ Audit report ▪▪ Root cause analysis data/response plan 4 CHAPTER 8 Records Document Location Duration of record Responsibility Internal audit program Food Safety Office One year Food safety manager Internal audit plan Food Safety Office Indefinitely Food safety manager Audit checklist/audit trail Food Safety Office Indefinitely Food safety manager Audit report Food Safety Office Indefinitely Food safety manager Response plan Food Safety Office Indefinitely Food safety manager Classification Company Confidential Internal Auditing Procedure Doc ID: SOP-006 Printed: Controller: Document Controller Page 8 of 8 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Allergen Control   ▪    253 ALLERGEN CONTROL An FBO Procedure Document No. Standard operating procedure SOP-007 Created April 20, 2018 Updated January 13, 2019 Controller Document Controller Owner Food Safety Manager Confidentiality Statement Information in this document must be kept confidential as per the document’s classification below and the rules of disclosure. All FBO documents are classified in the following way. PUBLIC documents are intended for anyone. COMMER- CIAL IN CONFIDENCE documents are to be kept confidential among restricted individuals within the FBO and partner organizations. COMPANY CONFIDENTIAL documents are to be kept confidential within the FBO and used for normal business activities by the general office population. HIGHLY CONFIDENTIAL documents are to be kept confidential among restricted individuals within the FBO. © Copyright FBO. All rights reserved. No part of this publication may be reproduced, stored in a retrieval system, or transmitted in any form or by any means, electronic, mechanical, photocopying, recording, or otherwise, without the written permission of the FBO. Classification Company Confidential Revision History Date Version Author Comments (including review history) CHAPTER April 20, 2018 Draft 01 Joe Bloggs Initial document for review and discussion April 24, 2018 V1.0 Joe Bloggs Approved for release by process owner January 13, 2019 V1.1 Joe Bloggs Updated formatting and consistency issues 4 Contents 1 Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 254 6.2 Labeling. . . . . . . . . . . . . . . . . . . . . . . . . . . . . 255 2 Related Documents. . . . . . . . . . . . . . . . . . . . . . . 254 6.3 External Panel and Consumer Screening ����������������������������������������������������255 3 Definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 254 6.4 Internal Panel Screening. . . . . . . . . . . . . . . 255 4 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 254 6.5 Preventing Allergen Cross 5 Procedure Flowchart. . . . . . . . . . . . . . . . . . . . . . 255 Contamination��������������������������������������������256 6 Procedure Notes. . . . . . . . . . . . . . . . . . . . . . . . . . 255 7 Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 256 6.1 Storage of Raw Materials Containing Allergens������������������������������������������������������255 Classification Company Confidential Allergen Control Procedure Doc ID: SOP-007 Printed: Controller: Document Controller Page 1 of 4 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 254  ▪  FOOD SAFETY HANDBOOK Allergen Control 1 Summary Purpose To ensure the effective use, storage, and labeling of allergens and food aller- gen management at the food business operator (FBO). Scope This procedure is applicable to products, processes, storage and production environments, and suppliers of raw materials at the FBO. Functional The functional responsibility for this procedure lies with the food safety man- responsibility ager, who is responsible for the effective implementation and maintenance of the procedure. 2 Related Documents Policies Food Safety Policy, POL-001 Processes Food Safety, PRO-001 Procedures Control of Documents, SOP-001 Traceability, SOP-012 Work instructions Not applicable Forms Master Document Register Other Document management system (DMS) 3 Definitions 4 CHAPTER Term or acronym Description FBO food business operator Food allergy Immunological-based reaction to chemical substances, usually proteins or protein fragments, by individuals who have previously been sensitized to the same substance and have formed antibodies. Allergic reactions can be initi- ated by small quantities of allergens. Reactions are usually mild and transi- tory, but, in a small share of the population, reactions can be severe and may, in some cases, lead to death. Food Information for A European Union (EU) initiative to provide consumers with information Consumers about food Major food allergens Milk, soy, and gluten allergens at the FBO 4 Introduction Under the Food Information for Consumers Regulation of the European Union (EU), all food business operators (FBOs) should declare the presence—whether for use as an ingredient or a processing aid—of any of the 14 major allergens listed in the regulation. In accordance with the regulation, the manda- tory information should be easily accessible, in a conspicuous place, readily visible, and legible. The display of the information should be indelible (permanent) where appropriate, for example, on food Classification Company Confidential Allergen Control Procedure Doc ID: SOP-007 Printed: Controller: Document Controller Page 2 of 4 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Allergen Control   ▪    255 Allergen Control labels, where it needs to withstand handling. The information should not be hidden, obscured, detracted from, or interrupted by other written or pictorial matter or any other intervening material. The 14 allergens listed in the regulation are recognized across Europe as the most common ingredients or processing aids that cause food allergies and intolerances. If a food product contains or uses an ingredient or processing aid (such as wheat flour used to roll out dough made from rye flour) derived from one of the substances or products listed in the regulation, this fact must be declared by the FBO to the consumer. The information supplied in this procedure is not exhaustive and does not cover other labeling requirements, such as other general labeling, for example, country of origin, lactose content, quanti- ties, additives, nutrition, and so on. 5 Procedure Flowchart Not applicable. 6 Procedure Notes 6.1 Storage of Raw Materials Containing Allergens ▪▪ Allergen-containing raw materials should be stored separately from nonallergenic materials. ▪▪ Allergen-containing raw materials should not be stored over nonallergenic CHAPTER materials. ▪▪ Milk allergen pallets should not be stored over soy allergen pallets or vice versa. See Raw Material Management Procedure, SOP-010 for details. 6.2 Labeling 4 All allergen-containing raw materials are initially received with orange labels from factories. Then milk and soy allergens are labeled with purple and green labels, respectively. The labels of all relevant finished food products shows the declaration “Contains allergens.” The identity of the allergen is included on the product labeling in line with the relevant International Organization for Standardiza- tion/technical specification (ISO/TS) 22002 standard series. 6.3 External Panel and Consumer Screening External panelists and consumers who participate in product tasting are screened for sensitivity to major allergens. Only panelists who are not allergic to foods are permitted to participate in consumer tests. 6.4 Internal Panel Screening Internal panelists are alerted that samples consumed at the FBO may contain any one of the known allergens indicated in the definitions section above. Classification Company Confidential Allergen Control Procedure Doc ID: SOP-007 Printed: Controller: Document Controller Page 3 of 4 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 256  ▪  FOOD SAFETY HANDBOOK Allergen Control 6.5 Preventing Allergen Cross Contamination ▪▪ Use a dedicated scoop for each raw material during transfer. ▪▪ Wipe down all affected surfaces after weighing out an allergen. ▪▪ Change gloves or wash hands after an allergen is handled. ▪▪ Keep all containers with allergens sealed. ▪▪ As much as possible, store allergens on the lower section of storage racks. Some FBOs use dedicated production lines and equipment in processing allergen raw materials in products. 7 Records Document Location Duration of record Responsibility Allergen file Food Safety Office Indefinitely Food safety manager 4 CHAPTER Classification Company Confidential Allergen Control Procedure Doc ID: SOP-007 Printed: Controller: Document Controller Page 4 of 4 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Mock Recall   ▪    257 MOCK RECALL An FBO Procedure Document No. Standard operating procedure SOP-008 Created April 20, 2018 Updated January 13, 2019 Controller Document Controller Owner Food Safety Manager Confidentiality Statement Information in this document must be kept confidential as per the document’s classification below and the rules of disclosure. All FBO documents are classified in the following way. PUBLIC documents are intended for anyone. COMMER- CIAL IN CONFIDENCE documents are to be kept confidential among restricted individuals within the FBO and partner organizations. COMPANY CONFIDENTIAL documents are to be kept confidential within the FBO and used for normal business activities by the general office population. HIGHLY CONFIDENTIAL documents are to be kept confidential among restricted individuals within the FBO. © Copyright FBO. All rights reserved. No part of this publication may be reproduced, stored in a retrieval system, or transmitted in any form or by any means, electronic, mechanical, photocopying, recording, or otherwise, without the written permission of the FBO. Classification Company Confidential Revision History Date Version Author Comments (including review history) CHAPTER April 20, 2018 Draft 01 Joe Bloggs Initial document for review and discussion April 24, 2018 V1.0 Joe Bloggs Approved and released by process owner January 13, 2019 V1.1 Joe Bloggs Updated related documents section and formatting 4 Contents 1 Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 258 6.4 Actions in the FBO Factory . . . . . . . . . . . . 262 2 Related Documents. . . . . . . . . . . . . . . . . . . . . . . 258 6.5 Actions in FBO Distribution/Logistics . . . 262 3 Definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 258 6.6 Actions in Trade. . . . . . . . . . . . . . . . . . . . . . 263 6.7 Return Transport. . . . . . . . . . . . . . . . . . . . . 263 4 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 259 6.8 Handling of the Returned Product . . . . . . 263 5 Procedure Flowchart. . . . . . . . . . . . . . . . . . . . . 260 6.9 Postreview Action Reviews . . . . . . . . . . . . 263 6 Procedure Notes. . . . . . . . . . . . . . . . . . . . . . . . . 260 6.10 Mock Recall Frequency. . . . . . . . . . . . . . . . 264 6.1 Data Collection and Management. . . . . 260 7 Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 264 6.2 The Decision to Conduct a Mock Recall. . . . 261 6.3 Mock Recall Communication . . . . . . . . . . 261 Classification Company Confidential Mock Recall Procedure Doc ID: SOP-008 Printed: Controller: Document Controller Page 1 of 8 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 258  ▪  FOOD SAFETY HANDBOOK Mock Recall 1 Summary Purpose The purpose of this procedure is to describe the process for effectively con- ducting a mock recall and potentially removing a product from the external supply chain/distribution. Scope This instruction covers all products manufactured or distributed by the food business operator (FBO). Local regulations and laws take precedence over this guideline. Functional The functional responsibility for this procedure lies with the food safety man- responsibility ager, who is responsible for the effective implementation and maintenance of this procedure. 2 Related Documents Policies Food Safety Policy, POL-001 Customer/Consumer Complaints Policy, POL-002 Processes Departmental process descriptions Procedures Control of Nonconforming Product, SOP-003 Correction and Corrective Action, SOP-009 Communication, SOP-020 Product Recall and Withdrawal, SOP-023 Crisis Management, SOP-029 4 Work instructions Not applicable CHAPTER Forms Recall/withdrawal log Communication log Root cause analysis/corrective action Other Not applicable 3 Definitions Term or acronym Description Complaint An expression of dissatisfaction communicated to an organization in rela- tion to the organization’s products or services or the complaints-handling process, during which a response or resolution is explicitly or implicitly expected Correction Action to eliminate a detected nonconformity Corrective action Action to eliminate the cause of a nonconformity and to prevent recurrence FBO food business operator FSMS food safety management system Nonconformity Nonfulfillment of a requirement Classification Company Confidential Mock Recall Procedure Doc ID: SOP-008 Printed: Controller: Document Controller Page 2 of 8 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Mock Recall   ▪    259 Mock Recall Term or acronym Description Product Output that is a result of activities none of which is necessarily performed at the interface between the provider and the customer; for the food business operator (FBO), this may be an ingredient, raw material, intermediate prod- uct, or finished product supplied to a customer or consumer Recall The process by which a product is removed from the external supply chain/ distribution and consumers are publicly advised to take specific actions with the product, for example, do not consume the product, or return the product to the shop or manufacturer; this includes the U.S. Food and Drug Adminis- tration (FDA) class I and class II recalls Regulatory Obligatory requirement specified by an authority mandated by a legislative requirement body Risk The effect of uncertainty on an expected result Root cause A cause that, once removed from the problem fault sequence, prevents the final undesirable event from recurring Root cause analysis A method of problem solving that involves an attempt to identify the root cause of faults or problems Statutory requirement Obligatory requirement specified by a legislative body Traceability The ability to track a food through all stages of production, processing, and distribution, including importation and retail; traceability should mean that movements can be traced one step back and one step forward at any point in the supply chain CHAPTER 4 Introduction A food recall is an action taken to remove food that is unsafe or potentially unsafe from distribu- tion, sale, and consumption. An unsafe food is a food that may cause illness or other physical harm 4 to a person consuming the food. The food industry recall procedure protocol provides information for food businesses operators (FBOs) on recalling food. It also offers guidance to FBOs in the development of a written mock recall or recall plan for food. A mock recall represents a method of verifying the effectiveness of an FBO’s recall procedure. The primary objective of a mock recall is as follows: ▪▪ Effectively and efficiently verify whether an FBO’s arrangements in the event of a recall are likely to be successful The procedure protocol provides guidance only and is not legally binding; however, it outlines the legal requirements relating to mock recalls and recalls that are enforceable by applicable national, federal, or territorial governments. If there is no legal obligation to enforce a recall, customer or food safety scheme standards should be followed. Recall systems should be tailored to the individual needs of the FBO. A business may seek indepen- dent advice, including legal advice, about the system it develops for mock recalls. Classification Company Confidential Mock Recall Procedure Doc ID: SOP-008 Printed: Controller: Document Controller Page 3 of 8 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 260  ▪  FOOD SAFETY HANDBOOK Mock Recall 5 Procedure Flowchart Not applicable. 6 Procedure Notes 6.1 Data Collection and Management A food business may become informed of a problem with any of its food products, raw materials, ingredients, intermediate products, or finished products through any of the following: ▪▪ In-house testing indicating there may be a potential problem with a particular food product or batch ▪▪ Customer/consumer complaints/feedback, for example, a phone call or e-mail from a customer or wholesaler informing the business about a potential problem ▪▪ A supplier of a raw material that is used by the company to make its food products may inform the business that there is a problem with an ingredient ▪▪ Government entities, such as health departments, local councils, or the police, may indicate that there may be a problem with a particular food product Such problems may include any of the following: ▪▪ The presence of pathogenic bacteria, such as Salmonella ▪▪ Chemical contamination, for instance, a chemical sanitizer 4 ▪▪ Foreign matter contamination, for example, pieces of glass, metal, or plastic, that could cause physical harm to a person consuming the food CHAPTER ▪▪ Labeling errors, such as incorrect or insufficient cooking instructions ▪▪ Undeclared allergens, for instance, peanut, milk, or soy ingredients that are not properly declared on the label ▪▪ Packaging defects, for example, the integrity of a package has been compromised, and a piece of the packaging becomes a choking hazard ▪▪ The underprocessing of food, resulting in potentially unsafe food All necessary information about the nature of the problem or hazard must be obtained to support an assessment to establish whether a food product is unsafe and a recall action is required. In assessing the risks, a sponsor needs to accomplish the following: ▪▪ Identify the hazard associated with the food, for example, is it a microbiological, physical, chemical, or allergen-related hazard ▪▪ Determine if the identified hazard poses a potential food safety risk, for instance, the food may contain harmful levels of pathogenic bacteria ▪▪ Determine what action needs to be taken to manage the food safety risk The food safety team ▪▪ Gathers all necessary information, facts, and data to enable a conscious decision to proceed with a mock recall; a mock recall must have a clearly defined goal and Classification Company Confidential Mock Recall Procedure Doc ID: SOP-008 Printed: Controller: Document Controller Page 4 of 8 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Mock Recall   ▪    261 Mock Recall objective because these exercises can validate specific processes and confirm sus- pected weaknesses ▪▪ Defines the communication with employees, the sales force, customers or consum- ers, and other stakeholders ▪▪ Determines subsequent steps involving the removed products ▪▪ Considers all other elements that might affect the FBO 6.2 The Decision to Conduct a Mock Recall The decision to conduct a mock recall is taken by the food safety manager. A product mock recall should be conducted twice a year. It may occur more frequently if requested by the primary stakeholders. The decision-making process is carried out according to crisis management procedures and takes into account especially the following: ▪▪ The situation and actions to be undertaken in markets where the same material is commercialized (intermarket supply) ▪▪ Foreign markets must be examined in making decisions or approving decisions; specific guidelines may apply Where a food safety issue has been identified for the mock recall, the food safety manager should also consider the possibility of the same problem occurring in the following: ▪▪ Different package sizes of the same line ▪▪ Different flavors or varieties of the same product CHAPTER ▪▪ Food products with a different batch number or date marking ▪▪ Different food products processed on the same line or in the same plant ▪▪ The same or similar food products packaged under a generic label If the food safety issue is present in other foods, batches, sizes, or brands, all these foods will need to be considered for inclusion in the recall. The food safety team may also decide to limit the scope of a mock recall. 4 The food safety manager should also consider whether there are other products on the market or in the food supply chain that may have been affected by the same hazard as the food subjected to the mock recall. This is referred to as a traceback. For example, if the problem is found to be linked to one or more raw materials supplied to the FBO, then the FBO needs to notify the supplier of the raw materials to enable the supplier to notify other customers of the raw materials. This may then result in the launch of additional mock recalls for more food products by other food businesses. Alternatively, the food safety manager may choose to limit the scope of the mock recall. 6.3 Mock Recall Communication Communication is critical to the success of a mock recall as well as for the image of brands. Commu- nication is based on the following: ▪▪ The position statement prepared by the food safety team/recall team ▪▪ The sensible and workable mock recall plan Classification Company Confidential Mock Recall Procedure Doc ID: SOP-008 Printed: Controller: Document Controller Page 5 of 8 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 262  ▪  FOOD SAFETY HANDBOOK Mock Recall ▪▪ Test procedures and plans with mock recalls ▪▪ The identification of risks and problem areas ▪▪ Statutory and regulatory requirements related to mock recall communication, if relevant ▪▪ Questions and answers to be used by consumer services Communication that is adequate to reach customers may be considered an adequate test. Communi- cation must be simple and factual: ▪▪ Why is the FBO conducting a mock recall? ▪▪ What product is involved in the mock recall? ▪▪ What should the FBO do to eliminate the defect and put the product back on the market? The same principles must be applied for communication with other stakeholders (employees, custom- ers, authorities, and so on). 6.4 Actions in the FBO Factory The factory provides the traceability data necessary for defining the material and quantities to be removed from the entire supply chain/distribution. All affected batches must be restricted in the FBO computer system. The accuracy of the traceability system must be considered, and a safety margin on either side of the concerned batch must be added if necessary. 4 CHAPTER 6.5 Actions in FBO Distribution/Logistics Upon receiving instructions to block a particular product quantity, the warehouse staff must immedi- ately remove it from assembled loads in the warehouse. The blocked stock must be physically marked and segregated. If advised by the food safety/recall team, distribution will coordinate urgent material pickups from identified warehouses and stores if necessary. The material received back must be registered in the FBO computer system with the status indicated as blocked as with all returned material. On request, warehouse personnel can check and sort the suspected stock or hold the affected product until the product is authorized to be released. The food safety manager provides instructions on how to examine the product and gather adequate resources (training, specialists, and so on). A detailed report must be prepared on the fate of the mock recalled batches. Other goods must be included if relevant (for example, nonrecalled goods, other FBO products, or even the products of competitors). Classification Company Confidential Mock Recall Procedure Doc ID: SOP-008 Printed: Controller: Document Controller Page 6 of 8 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Mock Recall   ▪    263 Mock Recall 6.6 Actions in Trade Materials in warehouses must be blocked and physically marked. Traceability must be performed, and, if required, a pickup schedule must be agreed with the FBO distribution. Materials in shops (supermarket shelves or back-room storage) must be fully traced and, where required, removed from shelves, blocked, physically marked, and placed in back-room storage to await pickup, destruction, or authorized release (as agreed between the FBO and retailer). Sales or merchandising staff may be called to assist as needed. The retailer will communicate the actual quantities to be picked up to facilitate transport. The mate- rial must be returned as soon as possible to the FBO or to dedicated warehouses. Disposal at customer sites is possible if there is mutual agreement about what is to be disposed. The method of disposal must be defined and properly documented. 6.7 Return Transport The return transport of affected material requires special attention and appropriate organization. This must be accomplished without delay. 6.8 Handling of the Returned Product The returned product must be controlled, registered, marked, and segregated from normal stocks. At a minimum, the product should be obtained for laboratory analysis. CHAPTER Precise inventories must be kept. Regulatory authorities may have additional requirements on records and information. The returned product must be handled as a nonconforming product; the rules for responsible destruc- tion or disposal must be followed. In line with the FBO accounting procedure, all costs related to mock recalls must be charged to 4 production-related overhead, not to bad products. ­ 6.9 Postreview Action Reviews A postreview action review must be conducted when the mock recall is over and potential improve- ments implemented. At a minimum, an analysis of the quantities of the materials involved must be carried out (product produced, sold, returned, destroyed, authorized for release, or not accounted for or consumed). The simple goal of the mock recall is ideally 100 percent of the product (raw material, ingredients, intermediate, or finished product) is accounted for within two hours or less. Classification Company Confidential Mock Recall Procedure Doc ID: SOP-008 Printed: Controller: Document Controller Page 7 of 8 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 264  ▪  FOOD SAFETY HANDBOOK Mock Recall 6.10 Mock Recall Frequency Mock recalls must be practiced. At least two mock recall exercises per year are recommended. These should encompass raw materials, ingredients, intermediate products, product contact materials, or finished products. A postreview action of a real case cannot replace a mock recall. An actual recall is not the occasion to test the FBO recall/traceability system. 7 Records Document Location Duration of record Responsibility Mock recall log Food Safety Office Indefinitely Food safety manager Communication records Food Safety Office Indefinitely Food safety manager Root cause analysis Food Safety Office Indefinitely Food safety manager Mock recall report Food Safety Office Indefinitely Food safety manager Postreview minutes Food Safety Office Indefinitely Food safety manager 4 CHAPTER Classification Company Confidential Mock Recall Procedure Doc ID: SOP-008 Printed: Controller: Document Controller Page 8 of 8 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Correction and Corrective Action   ▪    265 CORRECTION AND CORRECTIVE ACTION An FBO Procedure Document No. Standard operating procedure SOP-009 Created April 20, 2018 Updated January 13, 2019 Controller Document Controller Owner Food Safety Manager Confidentiality Statement Information in this document must be kept confidential as per the document’s classification below and the rules of disclosure. All FBO documents are classified in the following way. PUBLIC documents are intended for anyone. COMMER- CIAL IN CONFIDENCE documents are to be kept confidential among restricted individuals within the FBO and partner organizations. COMPANY CONFIDENTIAL documents are to be kept confidential within the FBO and used for normal business activities by the general office population. HIGHLY CONFIDENTIAL documents are to be kept confidential among restricted individuals within the FBO. © Copyright FBO. All rights reserved. No part of this publication may be reproduced, stored in a retrieval system, or transmitted in any form or by any means, electronic, mechanical, photocopying, recording, or otherwise, without the written permission of the FBO. Classification Company Confidential Revision History Date Version Author Comments (including review history) CHAPTER April 20, 2018 Draft 01 Joe Bloggs Initial draft for review and discussion April 24, 2018 V1.0 Mary Cahill Original issue and update after technical review January 13, 2019 V1.1 Mary Cahill Updated document title, related documents; introduced corrective action risk assessment, validation/verification, and risk assessment of implementation prior to closure 4 Contents 1 Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 266 5 Procedure Flowchart. . . . . . . . . . . . . . . . . . . . . . 267 2 Related Documents. . . . . . . . . . . . . . . . . . . . . . 266 6 Procedure Notes. . . . . . . . . . . . . . . . . . . . . . . . . 268 3 Definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 266 7 Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 270 4 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . 266 Classification Company Confidential Correction and Corrective Action Procedure Doc ID: SOP-009 Printed: Controller: Document Controller Page 1 of 6 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 266  ▪  FOOD SAFETY HANDBOOK Correction and Corrective Action 1 Summary Purpose The purpose of this procedure is to describe the methodology utilized within the organization to manage the correction and corrective action process. Scope This procedure applies to the generation of correction and corrective actions and the associated root cause analysis and the effective closure of correction and corrective actions. Functional The functional responsibility for this procedure lies with the food safety responsibility ­manager/management representative. 2 Related Documents Policies Food Safety Policy, POL-001 Processes Compliance, PRO-004 Procedures Complaint Management, SOP-015 Strategic Planning, SOP-019 Management Review, SOP-021 Work instructions Not applicable Forms Corrective and preventive action form Other Not applicable 4 3 Definitions CHAPTER Term or acronym Description Correction Action taken to eliminate a detected nonconformity Corrective action Action taken to eliminate the cause of a nonconformity and prevent recurrence DMS document management system FBO food business operator FSMS food safety management system Root cause analysis A method of problem solving that involves attempting to identify the root cause of faults or problems 4 Introduction The identification of issues affecting the food safety management system (FSMS) and the implementation of correction and corrective actions are core requirements for continual improvement within a manage- ment system. For such corrective actions to be effective, a rigorous root cause analysis process must be followed to ensure that the actual cause of the issue is identified and eliminated and recurrence prevented. This procedure outlines the process implemented within the organization to ensure that this is achieved. Classification Company Confidential Correction and Corrective Action Procedure Doc ID: SOP-009 Printed: Controller: Document Controller Page 2 of 6 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Correction and Corrective Action   ▪    267 Correction and Corrective Action 5 Procedure Flowchart Responsibility Process Records Complaint 1 Issue identified and Audit finding Employee/auditor/ documented and Corrective customer correction taken action risk assessment log 2 Root cause Relevant department Root cause analysis analysis completed Corrective 3 action plan Relevant department Corrective action/risk Corrective assessment drafted action risk assessment log Rejected Food safety manager/ 4 Corrective management representative/ Corrective action action/risk relevant department/ risk assessment assessment auditor reviewed Accepted 5 Corrective Relevant department Corrective action action plan plan implemented CHAPTER Food safety manager/ 6 Corrective management representative/ Monitor action plan relevant department/ implementation auditor Corrective 7 action plan Validate/verify Relevant department Validation/ implementation 4 verification evidence Validation/ Food safety manager/ 8 verification management representative/ Review for closure evidence auditor Food safety manager/ Corrective 9 action risk management representative/ Close issue and assessment log relevant department/ document as closed auditor Classification Company Confidential Correction and Corrective Action Procedure Doc ID: SOP-009 Printed: Controller: Document Controller Page 3 of 6 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 268  ▪  FOOD SAFETY HANDBOOK Correction and Corrective Action 6 Procedure Notes Step 1 Problem Definition/Record Creation An issue can be identified from several sources, including auditing (both internal and external), cus- tomer complaints, or legal/regulatory problems. Once an issue is identified, immediate correction must be taken to resolve the issue, and the issue must be documented within the document manage- ment system (DMS) software. The appropriate resources should then be put in place to manage the investigation of the issue in line with the flowchart on the previous page. Step 2 Root Cause Analysis It is mandatory that all issues raised be investigated thoroughly through the utilization of a recog- nized root cause analysis methodology, for example, the 5 whys, the 8Ds, Go See Think Do, and so on. Only if the root cause has been identified can correction or corrective action be implemented. Root cause analysis may be undertaken only by trained personnel. Under no circumstances should human error or a restatement of the issue be described as the root cause. If this occurs, the root cause analysis must be rejected and carried out again. Root cause analysis must be completed by the department in which the issue arose. If necessary, corrective actions may also be determined during the root cause analysis. If this is the case, the corrective actions must be documented as part of the corrective action plan. Step 3 Corrective Action Risk Assessment Drafted A corrective action plan should be created as follows: 4 Issue Root Corrective Corrective Assigned Expected description cause action(s) action(s) implementer ­completion date CHAPTER The corrective action plan is created by the department in which the issue arose. Once the corrective action plan has been developed, a risk assessment should be conducted to ensure no unintended con- sequences that may be reasonably foreseen may arise during implementation. It is the responsibility of the department to generate the plan, conduct a risk assessment, and submit the risk assessment for review and approval. Step 4 Corrective Action Risk Assessment Reviewed The corrective action risk assessment must be submitted to the food safety manager/management representative/auditor for review and approval. If the food safety manager/management representa- tive/auditor decides that the assessment is insufficient or unacceptable, they will return it for rework. The assessment may be rejected on the grounds of a poorly completed root cause analysis, unrealistic time frames, the lack of assignment of responsibilities, the lack of identification in the assessment of the risks and risk mitigations that, most reasonably, should have been foreseen, or other grounds as deemed appropriate by the review team. Classification Company Confidential Correction and Corrective Action Procedure Doc ID: SOP-009 Printed: Controller: Document Controller Page 4 of 6 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Correction and Corrective Action   ▪    269 Correction and Corrective Action If the corrective action risk assessment is deemed approved, the review team will notify the depart- ment to proceed with the corrective action plan. Step 5 Implement the Corrective Action Plan The relevant department will implement the corrective action plan as documented. Step 6 Monitor Implementation Implementation will be monitored in accordance with the documented plan on a regular basis to ensure that timely corrective action is taken and that any issue arising is dealt with. Step 7 Verify Implementation If the implementing department is satisfied that the corrective action has been completed, a test to determine the effectiveness of the corrective action must be undertaken and relevant evidence recorded. If the results show that the expected outcome has not been achieved, that is, the elimination of the root cause, the department must redo the root cause analysis. Only when this evidence objec- tively shows that the root cause of the issue has been eliminated, may the department request that the issue be closed out. Step 8 Review for Closure The food safety manager/management representative/auditor and other interested parties as neces- sary must review the objective evidence related to the effectiveness of the corrective action. After suitable time has elapsed following the implementation of the corrective action, the effectiveness CHAPTER of the corrective action must be determined. The corrective action is aimed at eliminating the cause of the nonconformity and also preventing recurrence. Hence, the validation and verification of effective- ness must test the possibility of the recurrence of the nonconformity and must be completed before the corrective action can be closed. If the test is satisfied, the corrective action can be closed. The test that is performed or the data reviewed as part of this process must be documented. The assistance of external sources may be utilized in carrying out the review of effectiveness. If the test 4 shows that the corrective action has not been effective, then the root cause analysis must be revisited to ensure that the correct cause has been identified, and the process must be repeated. Only when the review team is satisfied that the root cause has been eliminated may the team allow the issue to be closed. If any doubt persists, the review team may request extra verification activities to be undertaken and results submitted again, or they may request a complete resubmission of the corrective action plan. Step 9 Close the Corrective Action Risk Assessment If the review team is satisfied that the root cause has been eliminated, it will authorize the closure of the issue on the corrective and preventive action system. Classification Company Confidential Correction and Corrective Action Procedure Doc ID: SOP-009 Printed: Controller: Document Controller Page 5 of 6 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 270  ▪  FOOD SAFETY HANDBOOK Correction and Corrective Action 7 Records Document Location Duration of record Responsibility Complaint Food Safety Office Indefinitely Food safety manager/management representative Audit finding Food Safety Office Six years Food safety manager/management representative Corrective action plan Food Safety Office Six years Food safety manager/management representative Validation/verification Food Safety Office Six years Food safety manager/management evidence representative 4 CHAPTER Classification Company Confidential Correction and Corrective Action Procedure Doc ID: SOP-009 Printed: Controller: Document Controller Page 6 of 6 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Traceability   ▪    271 TRACEABILITY An FBO Procedure Document No. Standard operating procedure SOP-012 Created April 20, 2018 Updated January 13, 2019 Controller Document Controller Owner Food Safety Manager Confidentiality Statement Information in this document must be kept confidential as per the document’s classification below and the rules of disclosure. All FBO documents are classified in the following way. PUBLIC documents are intended for anyone. COMMER- CIAL IN CONFIDENCE documents are to be kept confidential among restricted individuals within the FBO and partner organizations. COMPANY CONFIDENTIAL documents are to be kept confidential within the FBO and used for normal business activities by the general office population. HIGHLY CONFIDENTIAL documents are to be kept confidential among restricted individuals within the FBO. © Copyright FBO. All rights reserved. No part of this publication may be reproduced, stored in a retrieval system, or transmitted in any form or by any means, electronic, mechanical, photocopying, recording, or otherwise, without the written permission of the FBO. Classification Company Confidential Revision History Date Version Author Comments (including review history) CHAPTER April 20, 2018 Draft 01 Joe Bloggs Initial document for review and discussion April 24, 2018 V1.0 Joe Bloggs Approved and released by process owner January 13, 2019 V1.1 Joe Bloggs Updated related documents section and formatting 4 Contents 1 Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 272 6.3 Place a Standard, Human-Readable 2 Related Documents. . . . . . . . . . . . . . . . . . . . . . . 272 Lot ID on the FBO Products ���������������������� 277 6.4 Product Labeling . . . . . . . . . . . . . . . . . . . . . 278 3 Definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 272 6.5 Dairy Milk Traceability Records. . . . . . . . . 278 4 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 273 6.6 Testing and Validation of the 5 Procedure Flowchart. . . . . . . . . . . . . . . . . . . . . . 274 Traceability System�����������������������������������280 6 Procedure Notes. . . . . . . . . . . . . . . . . . . . . . . . . . 274 6.7 Traceability System Testing and 6.1 Identify and Record Lot IDs or Key Validation Frequency �������������������������������280 Data Elements�������������������������������������������� 274 6.8 Postreview Actions . . . . . . . . . . . . . . . . . . . 281 6.2 Identify and Record Flows or Critical 7 Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 281 Tracking Events ������������������������������������������ 276 Classification Company Confidential Traceability Procedure Doc ID: SOP-012 Printed: Controller: Document Controller Page 1 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 272  ▪  FOOD SAFETY HANDBOOK Traceability 1 Summary Purpose The purpose of this procedure is to describe the ability of the process to trace each ingredient back to the source and to track dairy products after they leave the dairy plant. Scope This instruction covers all products manufactured or distributed by the food business operator (FBO). Local regulations and laws take precedence over this guideline. Functional The functional responsibility for this procedure lies with the food safety responsibility manager and traceability/recall prerequisite program (PRP) team, who are responsible for the effective implementation and maintenance of this procedure. 2 Related Documents Policies Food Safety Policy, POL-001 Customer/Consumer Complaints Policy, POL-002 Processes Departmental process descriptions Procedures Control of Nonconforming Product, SOP-003 Correction and Corrective Action, SOP-009 Communication, SOP-020 Product Recall and Withdrawal, SOP-023 4 Crisis Management, SOP-029 CHAPTER Work instructions Not applicable Forms Recall/withdrawal log Communication log Root cause analysis/corrective action Other Not applicable 3 Definitions Term or acronym Description Complaint Expression of dissatisfaction communicated to an organization related to the organization’s products or services or the complaints-handling process if a response or resolution is explicitly or implicitly expected Correction Action to eliminate a detected nonconformity Corrective action Action to eliminate the cause of a nonconformity and to prevent recurrence Critical tracking event An event that identifies those core business processes in which traceability data capture is vital to a successful traceability process Dilution The ability to separate products that may have a large amount of a contami- nant from products that may have only possible traces Classification Company Confidential Traceability Procedure Doc ID: SOP-012 Printed: Controller: Document Controller Page 2 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Traceability   ▪    273 Traceability Term or acronym Description Exclusion The ability to exclude the products that do not contain any contaminant FBO food business operator Inclusion The ability to include any products that may contain any trace of a possible contaminant Key data element The data captured during a critical tracking event to support a successful traceability process Nonconformity Nonfulfillment of a requirement Product Output that is a result of activities that are not necessarily performed at the interface between the provider and the customer; for the food business oper- ator (FBO), this may be an ingredient, raw material, intermediate product, or finished product supplied to a customer or consumer Recall The process by which a product is removed from the external supply chain/ distribution and consumers are publicly advised to take specific actions with the product (for instance, do not consume the product or return the product to the shop or manufacturer); this includes U.S. Food and Drug Administra- tion (FDA) class I and class II recalls Regulatory Obligatory requirement specified by an authority mandated by a legislative requirement body Risk The effect of uncertainty on an expected result Root cause A cause that, once removed from the problem fault sequence, prevents the final undesirable event from recurring CHAPTER Root cause analysis A method of problem solving that involves the attempt to identify the root cause of a fault or problem Statutory requirement Obligatory requirement specified by a legislative body Traceability The ability to track a food through all stages of production, processing, and distribution, including importation and retail; traceability should mean that movements can be traced one step back and one step forward at any point in 4 the supply chain Tracing The capability to identify the origin and characteristics of a product based on criteria determined at each point of the supply chain Tracking The capability to locate a product based on specific criteria no matter where the product is located along the supply chain 4 Introduction Traceability systems are designed to trace and track products and their components along the supply chain. Although traceability must be an end-to-end process, it is accomplished along a supply chain consisting of independent firms with separate stand-alone information systems. To  ensure continuity in the flow of traceability information, each partner in the food supply chain must pass on information about the identified lot or product group to the next partner in the food supply chain. Classification Company Confidential Traceability Procedure Doc ID: SOP-012 Printed: Controller: Document Controller Page 3 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 274  ▪  FOOD SAFETY HANDBOOK Traceability Thus, to accomplish end-to-end traceability, supply chain partners must undertake three key activities. Data collection: The system must be able to capture required data. Although this may be accom- plished using paper-based methods, more effective technologies, such as bar code scanners, radio frequency identification, handheld computers, and specially engineered input devices, are simplifying data collection and allowing more data to be captured. Data storage: Once collected, the data must be organized and stored in a database that allows various options for retrieval and search. Data transmission and sharing: The system is effective only if data can be exchanged between supply chain intermediaries. Thus, traceability systems must have systems integration capabilities to connect hardware and software, thus allowing diverse corporate systems to communicate. In dairy processing, traceability requires information collection, filing, and sharing on: ▪▪ Product ingredients ▪▪ Processing ▪▪ Packaging ▪▪ Labeling ▪▪ Storage ▪▪ Distribution 5 Procedure Flowchart 4 CHAPTER Not applicable. 6 Procedure Notes 6.1 Identify and Record Lot IDs or Key Data Elements The food business operator (FBO) product flow diagram should identify the places in the FBO facil- ity where bulk products, ingredients, or packaging materials are added to make the final product. It should also identify key points in the physical process where the product is transformed or where product lots can be discretely separated, that is, within critical product flows. Create a method to record lot IDs at each of these places. For example, recording the batch or the lot and the batch number or lot number typically starts at the manufacturing plant. Batches should be maintained and recorded according to the following: ▪▪ Quantity ▪▪ Manufacturing cycle ▪▪ Expiry date ▪▪ Weight of the active ingredient ▪▪ Excipient(s) Classification Company Confidential Traceability Procedure Doc ID: SOP-012 Printed: Controller: Document Controller Page 4 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Traceability   ▪    275 Traceability Decide which identifying mark will be used for the lot ID on the various materials. Train FBO employees to be consistent and accurate in recording lot IDs. Keep FBO records in a way that makes the lot IDs easy to find. Identify and record flows (critical tracking events). The following specific areas are common in the dairy foods industry and should be considered in listing key data elements–lot entry points: ▪▪ Raw milk receiving: When receiving raw milk, the receiving facility should consider each farm on a truck as a lot of product received. The facility should have or have access to the farm name and the address of the farmer. Model the receiving bay as a lot entry point and record the products of each farm received and the silo where the products were received. This can be accomplished in three ways: • The receiver records the load information only and turns the dairy farm tickets into the office, where the individual tickets are correlated with the load informa- tion and farm milk samples. This system would be used if multiple dairy farms pickups are accumulated in a single delivered load. • Only the route information is recorded by the receiver because the load is col- lected and comingled by a cooperative. In this case, the cooperative would need to have the dairy farm information for each load and raw milk sample that may become involved in the traceability effort if a recall were required. • The receiver records the individual dairy farm tickets and raw milk samples that are received with the load information. CHAPTER ▪▪ Milk hauler/driver responsibility: The records of the milk hauler/driver performing the dairy farm pickups are essential if a recall is to work properly and represent the first step in creating a successful traceability program. Accurate identification of the dairy farm and the product quantities and records on cleaning in place and on milk samples are critical and must reference the manifest or e-manifest or digital recorder, if this technology is used. 4 ▪▪ Using dairy farm IDs: Dairy farm IDs are often used as identifiers of the dairy farm loads. This can be helpful in tracing the loads because this number is issued by a national department of agriculture and is used in inspections and other records. However, many cooperatives and other dairy businesses assign their own dairy farm IDs as well. Hauler/driver and receiver records must be consistent and accurate. ▪▪ Raw milk pooling: When milk is picked up from the dairy farm, loaded into silos or tanks, and reshipped to dairy food plants, it is the responsibility of the milk pooling facility to keep the records of the dairy farm loads and farm raw milk samples according to the tankers shipped. This facility is modeled in the same way as any other facility. ▪▪ Rework: Rework is common, but complicates traceability. Rework should be viewed and modeled in the same way as any other ingredient or product. Rework is best handled in the following manner: • List the points where rework could be collected during the process. Identify and label the rework as a final product. Classification Company Confidential Traceability Procedure Doc ID: SOP-012 Printed: Controller: Document Controller Page 5 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 276  ▪  FOOD SAFETY HANDBOOK Traceability • If the rework is not a final product, create a lot identifying mark for the rework. If it is a bulk rework situation, create a lot identifying mark and mark or tag the tank with this identifier. • If the rework is a final product, use the appropriate lot identifying mark. • List the points where the rework is added back into the process; record the lot identifying marks as would be done with any other ingredient (key data ele- ments–lot entry point). • Take note of the rework narrative in the critical tracking events section. • Limit the addition of the rework from one day into the rework from another day as much as possible to reduce the comingling of lots. ▪▪ Packaging materials: Any packaging materials that touch the product should be recorded, including the following: • Bags and liners for product packaging • Vitamins and small-quantity additives ▪▪ Disposed ingredients or products: Records should be maintained on ingredients, products, and packaging materials that are disposed. The quantity disposed and the lot identifying marks should be recorded as with any final product. 6.2 Identify and Record Flows or Critical Tracking Events Identify the main flow paths in the dairy plant that the product passes through from beginning to end. ▪▪ Create a method of recording each of these flows. 4 ▪▪ Train FBO employees to be consistent and accurate in recording these flows. ▪▪ Keep FBO records in a way that facilitates relating the recorded lot IDs with the CHAPTER flows. ▪▪ Track FBO flows between the facilities within individual corporations or cooper- atives. Keeping good records of FBO interplant transfers or a system that can link the traceability of FBO products between facilities will reduce the time it takes to identify products or exclude an FBO from a recall. There are a few areas of special consideration in modeling the critical tracking events in a dairy foods facility. This process may be automated by the dairy processing plant within the dairy where the FBO follows instructions on the dairy processing equipment or supported by documented procedures, as follows: ▪▪ Products in storage that are not frequently cleaned in place: Oils, sugars, and other bulk ingredients are stored for long periods without being completely emptied or cleaned in place. This is common and safe, but is not in line with a granular model of traceability. ▪▪ Reset the trace for this vessel using a calculated first in, first out method. For exam- ple, if 65,000 pounds of oil are delivered, the first 65,000 pounds used exhausts that lot. On a reoccurring basis (possibly monthly), true up the calculated inven- tory to the actual inventory. Classification Company Confidential Traceability Procedure Doc ID: SOP-012 Printed: Controller: Document Controller Page 6 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Traceability   ▪    277 Traceability ▪▪ Reset the trace based on a periodic schedule. This is common practice in city water utilities because there is never really an interruption. In the case of government-supplied water, many reset the trace every 24 hours. ­ ▪▪ Continuous processes: Some processes run longer than is practical for consider- ation as one lot of finished product. Spray dryers, powder silos, and other processes may run for several days without stopping for cleaning in place. Yet, the flows through these processes need to be documented either manually or automatically to provide good traceability. ▪▪ Reset the critical tracking event whenever a source or destination changes. For instance, on a dryer, create a new flow record when the powder bin selection changes. In the case of an evaporator, change the flow record whenever the silo feeding the evaporator changes. If these two are combined, the quantity of product under one critical tracking event becomes much smaller, thereby reducing the size of the lot that will be considered for a recall. If the critical tracking event is reset as described, the following traceability can be accomplished: Inclusion: Depending on the risk of the contaminant, the entire list of final product lot identifying marks can be maintained, recalled, or tested during cleaning in place to the cleaning in place run of the dryer. Exclusion: Depending on the risk of the contaminant, the final products that are within the narrowest scope of a single silo crossing to a single powder bin can be isolated. This may be the highest risk product. CHAPTER Dilution: Depending on the risk of the contaminant, a final product that contains items such as a common silo, powder bin, a common rework lot identifying mark can now be isolated to find those product lots with trace amounts of the contaminant. In fact, this method can be used, especially in an automatically collected traceability solution, to find the source of the contaminant. 4 ▪▪ Adding rework into the process: A rework addition should be handled in the same way as any other ingredient addition. However, where the creation of rework is possible, the points in the process should be modeled as a critical tracking event, with a final lot identifying mark so that, when the rework is added, it can be traced. 6.3 Place a Standard, Human-Readable Lot ID on the FBO Products Label the FBO final products with a simple, human-readable lot ID so anyone using the products in manufacturing can also maintain consistent and accurate records. ▪▪ Use this lot ID in FBO records as a primary identity or, at least, a searchable field in an FBO electronic or enterprise resource planning system. ▪▪ Use this lot ID in every record in both manual and electronic enterprise resource planning. ▪▪ Add the lot or lot ID label near the human-readable lot ID so the operators in the facilities of the FBO’s customers can easily record the correct identity. Classification Company Confidential Traceability Procedure Doc ID: SOP-012 Printed: Controller: Document Controller Page 7 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 278  ▪  FOOD SAFETY HANDBOOK Traceability 6.4 Product Labeling A simple, readable lot ID should be accurately recorded as the key element in a successful traceability system. To allow efficient and expedient traceability, the lot identifying mark should: ▪▪ Be human-readable for customers that use manual lot tracking records ▪▪ Stand out on a package, pallet label, or bill of lading so that customers can clearly determine the lot identifying mark they should use in traceability records. If the FBO is incorporating a bar code that is used by all customers into records, ensure that both the distributors and the final customers are bar code scanning the lot identifying mark and integrating it into their traceability records as well. The lot identity should be obvious on every package, container, pallet, and bill of lading that leaves the FBO. If the product is meant for use by another manufacturer or processor, the text lot or lot ID should be printed boldly and visibly next to the lot identifying mark. Alternatively, at a small manufacturer, the number should be applied in human-readable form. The text lot or lot ID should appear near the code. If a customer requests or has accepted more extensive lot identifying marks, this is also appropriate as long as the mark is clear. The lot identifying marks should be used in all correspondence. The recommended lot identifying mark content should consist of the following: 4 ▪▪ The dairy plant number, the date, and a process identifier. The plant numbers are CHAPTER typically 4–6 digits long. ▪▪ The date—for example, July 26, 2012—should be in number form, such as 20120726 or 20122607. ▪▪ An additional identifier for the product created on a specific day is a line identity. 6.5 Dairy Milk Traceability Records GENERAL INFORMATION ▪▪ Any final product, bulk or packaged, should have a listing of the lot numbers it contains. ▪▪ The lot numbers that these records contain should match the lot numbers in the warehouse records. ▪▪ If the FBO traceability system is stored on a database, the lot identifying marks should link or associate all the records. Traceability records should enable the FBO to find a lot identifying mark and any contributing lot identifying marks quickly and accurately. The traceability records need to contain only the informa- tion necessary to accomplish this. For internal records, it is recommended that the basic traceability information be linked with the full record of the process and the quality assurance records. Classification Company Confidential Traceability Procedure Doc ID: SOP-012 Printed: Controller: Document Controller Page 8 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Traceability   ▪    279 Traceability The following is the contents of the basic record content set. ▪▪ Key data elements–lot entry points: An up-to-date listing of the key data elements– lot entry points for the facility or process area. This shows that one may track where other lot identifying marks enter the process. It will also correlate with the daily records that are kept, either manually or electronically, of the lot identifying marks that are incorporated into the final products. These records can be either textual or in flowcharts. ▪▪ Critical tracking events: An up-to-date listing of the physical flows in the process, or critical tracking events. This will correlate to the daily records of the flows in your facility, and will be used to find the path of the lot identifying marks through the process. These records can be either textual or flow charts. ▪▪ Lot identifying mark: This record is only a short written description of the struc- ture of the lot identifying mark and what the digits represent. Among the basic records to be maintained by the FBO, the farm milk records should contain at least the following: ▪▪ Farm number ▪▪ Carrier/hauler identification ▪▪ Driver identification ▪▪ A list of the farm identifications in the load ▪▪ The time the load was received ▪▪ The therapeutic drug (antibiotic) test result CHAPTER ▪▪ The name of the receiver/tester ▪▪ Milk temperature ▪▪ Silo destination of the load Bulk receipt records should contain at least the following: 4 ▪▪ The bill of lading number ▪▪ Carrier information ▪▪ The lot identifying mark of the supplier ▪▪ The time received Ingredient addition records should contain at least the following: ▪▪ The lot identifying mark of the supplier ▪▪ Carrier information ▪▪ Manufacturer name if the system is manual; if the system is electronic, the manu- facturer name can be joined on the database with the lot identifying mark ▪▪ Ingredient name if the system is manual; if the system is electronic, the ingredient name can be joined on the database with the lot identifying mark ▪▪ The time of the addition ▪▪ The operator Classification Company Confidential Traceability Procedure Doc ID: SOP-012 Printed: Controller: Document Controller Page 9 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 280  ▪  FOOD SAFETY HANDBOOK Traceability Final product records should contain at least the following: ▪▪ The lot identifying mark ▪▪ The product name ▪▪ The time of the product run start ▪▪ The time of the product run end PERIPHERAL AREAS (WAREHOUSE, DISTRIBUTION CENTERS, SHIPPING) Outside the physical processing environment within the supply chain, traceability becomes discrete, meaning each product that may be contaminated is contained in one package. If an easily identifiable lot identifying mark is included on the bill of lading, shipping records, receiving records, warehouse system, and so on, each suspect product can be quickly held, tested, removed from the food chain, or destroyed once it is traced and identified. RECORD RETENTION, SECURITY, AND BACKUP Traceability records are retained for the same duration as other regulatory records, such as clean- ing in place and pasteurization records. Until regulatory documents begin listing traceability record retention, assume that retention should be for the same amount of time as the U.S. pasteurized milk ordinance specifies for high-temperature/short-time record retention. It is important that these records not be lost or edited. ▪▪ If the records are manual, they should be stored in locked file cabinets or in rooms that are locked when they are not staffed or after business hours. 4 ▪▪ If the records are electronic, they should be backed up once every 24 hours and CHAPTER stored in a database or data archival system in a write once, read many format. 6.6 Testing and Validation of the Traceability System The testing and validation of the FBO traceability system should cover at least two scenarios through the FBO product recall procedure: ▪▪ Using one or more final product key data element–lot identification mark(s) to locate the contributing bulks, dairy farms, ingredients, additives, or packaging materials that the product contains ▪▪ Using a suspect or possible adulterated alert of a bulk, dairy farm, ingredient, additive, or packaging material and finding the final products that contain the possible containment. The results of the traceability system testing and validation should be confirmed through quality assurance/laboratory results. The quality assurance/laboratory results should be maintained in the laboratory information management system. 6.7 Traceability System Testing and Validation Frequency It is the policy of the FBO that the frequency of testing and validation of the traceability system should be at least twice a year, or following a serious food incident/event, or following a significant change in the FBO or food chain partner traceability system. Classification Company Confidential Traceability Procedure Doc ID: SOP-012 Printed: Controller: Document Controller Page 10 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Traceability   ▪    281 Traceability 6.8 Postreview Actions Postreview actions must be conducted when the mock recall is over and potential improvements implemented. Any subsequent actions occurring should be monitored and tracked through the FBO corrective and preventive action procedure. At a minimum, an analysis of the quantities of materials involved must be undertaken, whether the materials have been produced, sold, returned, destroyed, authorized for release, not accounted for, or consumed. The ideal goal of the mock recall is to account for 100 percent of the product (bulk, dairy farm, ingre- dient, additive, intermediate product, or finished product) within two hours or less. 7 Records Document Location Duration of record Responsibility Dairy plant records (various) Food Safety Office Indefinitely Food safety manager Mock recall log Food Safety Office Indefinitely Food safety manager Communication records Food Safety Office Indefinitely Food safety manager Root cause analysis Food Safety Office Indefinitely Food safety manager Mock recall report Food Safety Office Indefinitely Food safety manager Postreview minutes Food Safety Office Indefinitely Food safety manager CHAPTER 4 Classification Company Confidential Traceability Procedure Doc ID: SOP-012 Printed: Controller: Document Controller Page 11 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 282  ▪  FOOD SAFETY HANDBOOK IDENTIFICATION AND EVALUATION OF COMPLIANCE An FBO Procedure Document No. Standard operating procedure SOP-013 Created April 20, 2018 Updated January 13, 2019 Controller Document Controller Owner Food Safety Manager Confidentiality Statement Information in this document must be kept confidential as per the document’s classification below and the rules of disclosure. All FBO documents are classified in the following way. PUBLIC documents are intended for anyone. COMMER- CIAL IN CONFIDENCE documents are to be kept confidential among restricted individuals within the FBO and partner organizations. COMPANY CONFIDENTIAL documents are to be kept confidential within the FBO and used for normal business activities by the general office population. HIGHLY CONFIDENTIAL documents are to be kept confidential among restricted individuals within the FBO. © Copyright FBO. All rights reserved. No part of this publication may be reproduced, stored in a retrieval system, or transmitted in any form or by any means, electronic, mechanical, photocopying, recording, or otherwise, without the written permission of the FBO. Classification Company Confidential Revision History Date Version Author Comments (including review history) 4 April 20, 2018 Draft 01 Joe Bloggs Initial document for review and discussion CHAPTER April 24, 2018 V1.0 Joe Bloggs Approved for release by process owner January 13, 2019 V1.1 Joe Bloggs Updated related documents and updated to reflect changes in International Organization for Standardization (ISO) 22000:2018 Contents 1 Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 283 5 Procedure Flow Chart . . . . . . . . . . . . . . . . . . . . . 285 2 Related Documents. . . . . . . . . . . . . . . . . . . . . . . 283 6 Procedure Notes. . . . . . . . . . . . . . . . . . . . . . . . . . 285 3 Definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 284 7 Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 286 4 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 284 Classification Company Confidential Identification and Evaluation of Compliance Procedure Doc ID: SOP-013 Printed: Controller: Document Controller Page 1 of 5 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Identification and Evaluation of Compliance   ▪    283 Identification and Evaluation of Compliance 1 Summary Purpose The purpose of this procedure is to outline the management process within the food business operator (FBO) of the identification and evaluation of compliance with statutory, regulatory, and other requirements (hereafter referred to simply as compliance). Scope The procedure is initiated with the identification of a new or changed com- pliance requirement. It proceeds to recording, the collection of information, assessment of the relevance of impacts, and the establishment of the degree of compliance. Gaps, if any, are also identified and resolved. The compliance register is updated and improved, and the ongoing monitoring and evalua- tion of compliance are carried out. Functional The functional responsibility for this procedure lies with the food safety man- responsibility ager, who is responsible for the effective implementation and maintenance of the procedure. Departmental managers are responsible for ensuring that the records under their control are managed in accordance with this docu- mented procedure. 2 Related Documents Policies Food Safety Policy, POL-001 Processes Food Safety Process Description, PRO-002 Procedures Control of Documents, SOP-001 CHAPTER Control of Nonconforming Product, SOP-003 Internal Audit, SOP-006 Correction and Corrective Action, SOP-009 Management Review, SOP-021 Product Recall and Withdrawal, SOP-023 Food Safety Legal Register, REG-001 4 Work instructions Not applicable Forms Master document register Other Document management system (DMS) Classification Company Confidential Identification and Evaluation of Compliance Procedure Doc ID: SOP-013 Printed: Controller: Document Controller Page 2 of 5 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 284  ▪  FOOD SAFETY HANDBOOK Identification and Evaluation of Compliance 3 Definitions Term or acronym Description Compliance Statutory and regulatory compliance, including compliance with other legal obligations and requirements Compliance register Food safety legal register Enforcement agency Any person or organization delegated with vested or statutory authority, capacity, or power to perform a designated function. The enforcement agency may also be any agency that enforces the law, for example, the Food Standards Agency of the United Kingdom or the U.S. Food and Drug Administration. FBO food business operator Interested party Any external person or group—for example, an external unit of the food busi- ness operator (FBO), consumers, or regulatory agencies—with an interest in the performance or success of the organization 4 Introduction A corporate vision for food safety compliance is a defined and documented strategy for mapping out the business’s objectives in meeting the business’s compliance obligations now and in the future. It is focused on future-proofing the business’s need to meet a dynamic compliance framework, maintain a high level of consumer protection, and support business development objectives. This procedure outlines the steps in the identification and evaluation of a food business operator’s 4 (FBO) legal obligations, primarily statutory and regulatory and especially toward the customer. CHAPTER Classification Company Confidential Identification and Evaluation of Compliance Procedure Doc ID: SOP-013 Printed: Controller: Document Controller Page 3 of 5 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Identification and Evaluation of Compliance   ▪    285 Identification and Evaluation of Compliance 5 Procedure Flow Chart Responsibility Process Records 1 Interested party Subscription Identify changes Compliance 2 register/meeting Food safety manager Record information minutes 3 Compliance Food safety manager Collect additional register information 4 Compliance Food safety manager Assess relevance/ register impact Compliance Food safety manager/ 5 report internal auditors Evaluate compliance CHAPTER Change 6 Food safety manager/ management Define and document management team form a gap resolution plan Change Food safety manager/ 7 management management team Implement resolution form 4 Document Food safety manager/ 8 management management team Update/improve, system (DMS) if required Compliance 9 Food safety manager register Monitor and measure 6 Procedure Notes Step 1 Any new compliance requirements or changes in compliance requirements are identified through a combination of the FBO, the enforcement agency, industry representatives, and a legal register sub- scription communication and update service. Classification Company Confidential Identification and Evaluation of Compliance Procedure Doc ID: SOP-013 Printed: Controller: Document Controller Page 4 of 5 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 286  ▪  FOOD SAFETY HANDBOOK Identification and Evaluation of Compliance Step 2 The food safety manager shall record the information, including updating the compliance register or food safety legal register as required. Step 3 The food safety manager shall collect additional information on the new or changed compliance requirement, where necessary, to achieve a better understanding and evaluation. The relevant legal register shall be updated and maintained as required. Step 4 Once the necessary information and data have been collected, the relevance and impact of the new or changed compliance requirement shall be identified. The relevant legal register shall be updated and maintained if required. The food safety manager shall communicate the information to the relevant internal parties through a combination of e-mail, report, or meeting. The management review meet- ing shall review all new or changed compliance requirements according to the management review procedure. Step 5 Based on the information collected, the food safety manager shall determine the best strategy for evaluating the degree of compliance, for example, document review, monitoring and measurement data, audit, or a combination of one or more, and so on, referencing the relevant legal register and updating this if required. 4 Step 6 CHAPTER If the periodic evaluation results show there is a gap, a gap resolution plan shall be defined and documented. This may include a corrective and preventive action plan if required. Reference the Control of Nonconforming Product Procedure and the Correction and Corrective Action Procedure. Step 7 The gap analysis plan shall be implemented in a timely manner to ensure full compliance. Steps 8 and 9 The relevant compliance register, including the food safety management system (FSMS) document facility, shall be reviewed and updated as required. 7 Records Document Location Duration of record Responsibility Food safety legal register Food Safety Office Indefinitely Food safety manager Internal audit file Food Safety Office Three years Food safety manager Management review package Food Safety Office Three years Food safety manager Classification Company Confidential Identification and Evaluation of Compliance Procedure Doc ID: SOP-013 Printed: Controller: Document Controller Page 5 of 5 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Training and Development   ▪    287 TRAINING AND DEVELOPMENT An FBO Procedure Document No. Standard operating procedure SOP-014 Created April 20, 2018 Updated April 24, 2019 Controller Document Controller Owner Human Resources Manager Confidentiality Statement Information in this document must be kept confidential as per the document’s classification below and the rules of disclosure. All FBO documents are classified in the following way. PUBLIC documents are intended for anyone. COMMER- CIAL IN CONFIDENCE documents are to be kept confidential among restricted individuals within the FBO and partner organizations. COMPANY CONFIDENTIAL documents are to be kept confidential within the FBO and used for normal business activities by the general office population. HIGHLY CONFIDENTIAL documents are to be kept confidential among restricted individuals within the FBO. © Copyright FBO. All rights reserved. No part of this publication may be reproduced, stored in a retrieval system, or transmitted in any form or by any means, electronic, mechanical, photocopying, recording, or otherwise, without the written permission of the FBO. Classification Company Confidential Revision History Date Version Author Comments (including review history) CHAPTER April 20, 2018 Draft 01 Joe Bloggs Initial document for review and discussion April 24, 2019 V1.0 Mary Cahill Format changes and reviewing and approval by process owner Contents 4 1 Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 288 7.1 Selection, Approval, and Evaluation of 2 Related Documents. . . . . . . . . . . . . . . . . . . . . . 288 Trainers��������������������������������������������������������292 7.2 Training Course Evaluation . . . . . . . . . . . . 293 3 Definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 288 7.3 Trainee Evaluation. . . . . . . . . . . . . . . . . . . . 293 4 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . 289 7.4 Training Materials. . . . . . . . . . . . . . . . . . . . 293 5 Procedure Flowchart. . . . . . . . . . . . . . . . . . . . . 290 7.5 Training Course Attendance . . . . . . . . . . 294 6 Procedure Notes. . . . . . . . . . . . . . . . . . . . . . . . . . 291 7.6 Poor Performance or the Unsuccessful 7 Management of Training and Completion of Training����������������������������� 294 Development . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 292 8 Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 295 Classification Company Confidential Training and Development Procedure Doc ID: SOP-014 Printed: Controller: Document Controller Page 1 of 9 Created: April 20, 2018 Updated: April 24, 2019 Owner: Human Resources Manager 288  ▪  FOOD SAFETY HANDBOOK Training and Development 1 Summary Purpose The purpose of this procedure is to describe the methodology used by the company to enable individuals, business units, and the company overall to fulfill performance requirements through the provision of training and development. Scope This procedure applies to the training and development of all employees, from initial entry to the identification of training and development needs following a performance evaluation or mandatory corporate training and ending with the evaluation and conformation of performance. Functional The functional responsibility for this procedure lies with the Human responsibility Resources Department, specifically the human resources manager, who is responsible for the effective implementation and maintenance of this procedure. 2 Related Documents Policies Food Safety Policy, POL-001 Processes Human Resources Process Description, PRO-003 Procedures Recruitment and Selection Procedure, SOP-025 Performance Appraisal Procedure, SOP-026 Disciplinary Procedure, SOP-027 4 Purchasing Procedure (for provision of external training), SOP-028 Work instructions Not applicable CHAPTER Forms Job descriptions Training Attendance Form Training Request Form Logging data from the learning management system Other Training-the-trainer training course 3 Definitions Term or acronym Description FBO food business operator Job description A formal account of an employee’s responsibilities Classification Company Confidential Training and Development Procedure Doc ID: SOP-014 Printed: Controller: Document Controller Page 2 of 9 Created: April 20, 2018 Updated: April 24, 2019 Owner: Human Resources Manager FSMS Procedures and Documentation: Training and Development   ▪    289 Training and Development 4 Introduction The overall objective of training and development is to develop a trained workforce that can deliver superior customer service using the latest technology and expert domain knowledge. To achieve this goal, the food business operator (FBO) provides several types of training, including new joiner onboarding, domain training, food safety compliance training, and on-the-job training. New joiner onboarding (induction) training helps new employees integrate quickly and effectively into their new work environment. Domain training refers to the industry-specific knowledge training that is required of individuals for the individuals to be successful in the role that they hold. Food safety compliance training is mandatory and plays an important part in the process of educating employees on industry laws and regulations and company food safety policies and procedures. Every new employee must go through this training immediately after joining, and every employee must complete food safety compliance training on a yearly basis. CHAPTER 4 Classification Company Confidential Training and Development Procedure Doc ID: SOP-014 Printed: Controller: Document Controller Page 3 of 9 Created: April 20, 2018 Updated: April 24, 2019 Owner: Human Resources Manager 290  ▪  FOOD SAFETY HANDBOOK Training and Development 5 Procedure Flowchart Responsibility Process Records Start 1 Training needs Human Resources Department Identify analysis report T&D requirements 2 Provisional Human Resources Department Compile and analyze training plan requirements 3 HR budget Human Resources Department/ Prioritize and senior management Approved obtain budget training plan 4 Training plan Human Resources Department Develop and publish T&D plan HRMS 4 Training plan 5 Human Resources Department CHAPTER Implement T&D plan HRMS HRMS 6 Human Resources Department Monitor implementation Training records 7 HRMS Human Resources Department Verify e ectiveness Performance appraisal records 8 Human Resources Department Publish and share results End Note: HR = Human Resources; HRMS = human resources management system; T&D = training and development. Classification Company Confidential Training and Development Procedure Doc ID: SOP-014 Printed: Controller: Document Controller Page 4 of 9 Created: April 20, 2018 Updated: April 24, 2019 Owner: Human Resources Manager FSMS Procedures and Documentation: Training and Development   ▪    291 Training and Development 6 Procedure Notes Step 1 Training and Development Requirements The Human Resources Department will identify the training and development needs across the com- pany. This will be achieved through a review of corporate mandatory training requirements, training requirements identified through the recruitment and selection process, and the outcomes of perfor- mance appraisals. Each department will be consulted during this process. Step 2 Training and Development Analysis Based on the needs identified in step 1, the Human Resources Department will compile and analyze the requirements. This will result in a provisional training plan. Step 3 Training and Development Prioritization/Budget The provisional training plan, including prioritization requirements, will be submitted to top man- agement for approval. Once approved, the necessary resources will be provided as part of the human resources budget. Step 4 Training and Development Plan Once budget approval has been received, the Human Resources Department will develop and publish the approved training and development plan through the human resources management system. The plan will outline both the mandatory and optional training and development that will be provided during the coming period. CHAPTER Steps 5 and 6 Training and Development Plan Implementation and Monitoring The Human Resources Department, in association with other departments as appropriate, will implement the training and development plan. It will continuously monitor the implementation of the training plan, using the human resources management system and the learning management system, to ensure that it is flawlessly executed. The human resources management system and the 4 learning management system will indicate the training that has been completed by each employee. Training attendance sheets and training evaluation records will also be maintained. In cases in which it becomes evident that the training and development plan is not being followed, the Human Resources Department will take the necessary actions, including reviews conducted with senior management, to bring the plan back on track or take other measures to ensure training is completed properly. Step 7 Training and Development Effectiveness Verification The Human Resources Department will determine the effectiveness and impact of the training and development courses on the performance of individuals, business units, and the company. If analysis shows that training and development are not having the desired effect, a review of the training and development plan and its implementation will be conducted, and the necessary actions identified, taken, and recorded. The outputs of the performance appraisal process will be a direct input to the determination of the overall effectiveness of training and development and drive the creation of the next training and development plan. Classification Company Confidential Training and Development Procedure Doc ID: SOP-014 Printed: Controller: Document Controller Page 5 of 9 Created: April 20, 2018 Updated: April 24, 2019 Owner: Human Resources Manager 292  ▪  FOOD SAFETY HANDBOOK Training and Development Step 8 Training and Development Published Results The Human Resources Department will publish and share the results achieved through the implemen- tation of the training and development plan with all interested parties to ensure that decisions related to ongoing training and development are based on precise factual information. 7 Management of Training and Development 7.1 Selection, Approval, and Evaluation of Trainers INTERNAL TRAINERS All employees selected to act as company trainers are required to meet the following minimum criteria: ▪▪ They must have been working in the area covered by the training for a significant period, two to three years minimum. ▪▪ They must be subject matter experts in the required subjects or areas. ▪▪ They must have successfully completed a training-the-trainer training course. ▪▪ They must have successfully presented the training course to their peers and the Human Resources Department. EXTERNAL TRAINERS If it is necessary to employ the services of external trainers to provide training, they shall be selected in accordance with a defined process. The Human Resources Department shall ensure that these trainers 4 are competent to complete the training task. All external trainers shall meet the following criteria: CHAPTER ▪▪ They must be subject matter experts in the required subjects or areas. ▪▪ They must have successfully completed a training-the-trainer training course. ▪▪ They must hold the necessary educational qualifications related to the training course. ▪▪ They must have several years of work experience related to the training course and, ideally, still be working in a related area. ▪▪ They must provide written references and approvals with respect to the provision of training. ▪▪ If required, they must hold the necessary certifications from recognized certification bodies or work on behalf of a certified or accredited training organization. Documented evidence that trainers meet the above criteria must be maintained on file by the Human Resources Department for all external training organizations and the related trainers. In the event that an approved external trainer is unable to attend scheduled training and a substitute external trainer is recommended by the supplier, the substitute external trainer must also meet the above requirements. A panel of approved trainers and training organizations will be maintained by the Human Resources Department. Classification Company Confidential Training and Development Procedure Doc ID: SOP-014 Printed: Controller: Document Controller Page 6 of 9 Created: April 20, 2018 Updated: April 24, 2019 Owner: Human Resources Manager FSMS Procedures and Documentation: Training and Development   ▪    293 Training and Development 7.2 Training Course Evaluation All training course material and trainers will be subject to evaluation. This is required to ensure that the level of course materials and course delivery does not deteriorate and remains relevant and that the trainees are receiving a high standard of training. Evaluations will be implemented as follows: ▪▪ Training course evaluation forms, completed at the end of the course by the trainees, will outline their ratings of course delivery, course materials, trainers, and ­ other relevant criteria. ▪▪ Defined internal trainer presentation reviews: this will involve witnessed and documented evaluations of the presentation of internal trainers completed by the Human Resources Department. The Human Resources Department will review the output of these evaluation processes and ensure that, where standards are not being met, the appropriate actions are taken to ensure that there is no negative impact on the trainees or the company. 7.3 Trainee Evaluation Depending on the type of training delivered, trainees will be evaluated to ensure that they have both received and understood the information being delivered and can implement the training in their day-to-day roles. This evaluation and assessment process can take several forms, including, but not necessarily limited to, the following: CHAPTER ▪▪ Written examinations on the subject matter ▪▪ Documented continuous assessments throughout course delivery ▪▪ Trainer assessments of trainees through role playing or similar exercises ▪▪ On-the-job mentoring and review ▪▪ Performance appraisals 4 Trainee evaluations must be documented and maintained on file. 7.4 Training Materials If training materials, such as PowerPoint presentations, training manuals, examinations, or quizzes, are developed in-house, these must be assessed for quality and technical content prior to use and following any updates. The Human Resources Department will review the materials from a quality perspective to ensure the following: ▪▪ The materials are in a form, manner, and language that are likely to be understood. ▪▪ They are grammatically correct. ▪▪ They are clear, concise, and visually acceptable. ▪▪ They meet company requirements on templates or notes, for example, for ­PowerPoint presentations. Classification Company Confidential Training and Development Procedure Doc ID: SOP-014 Printed: Controller: Document Controller Page 7 of 9 Created: April 20, 2018 Updated: April 24, 2019 Owner: Human Resources Manager 294  ▪  FOOD SAFETY HANDBOOK Training and Development ▪▪ They do not contain any unauthorized language or content. ▪▪ Revisions are controlled. The tutors or subject matter experts will review the materials from a technical perspective to ensure the following: ▪▪ The training course content is technically correct, accurate, and up-to-date. ▪▪ The information and examples presented are compliant with all necessary rules and regulations; if possible, training materials provided by external providers will be reviewed prior to course delivery. The Human Resources Department will be responsible for the maintenance of internal course materi- als. However, it is the responsibility of the subject matter experts to ensure that the courses and course materials are updated as necessary in line with any changes in food safety compliance requirements, regulatory requirements, or other significant changes affecting course content. All internal training materials will be held by the Human Resources Department and issued to the trainers as required. 7.5 Training Course Attendance Once a training course has been scheduled, it is the responsibility of management to release staff to attend the training course. It is required that all trainees attend the full duration of relevant courses. If, for any reason, trainees must leave a course, they must retake the entire course. The Human Resources Department may amend this requirement on a case-by-case basis. 4 CHAPTER 7.6 Poor Performance or the Unsuccessful Completion of Training A training matrix will be maintained by the Human Resources Department to identify both the man- datory and optional training courses available. The matrix may be used by other departments and the management team to identify potential training solutions available where an employee is found not to be performing to expected levels. In the event an employee does not successfully complete a mandatory training course, they may be offered the option of retaking the course or course assessment. If an employee has not successfully completed a mandatory training course after numerous attempts or the performance of the employee in the job role does not improve, then both the Human Resources Department and the departmental manager will meet to determine the best course of action to be taken with regard to the employee. A decision will be made and communicated to the employee. This decision will be documented and monitored by the Human Resources Department. Classification Company Confidential Training and Development Procedure Doc ID: SOP-014 Printed: Controller: Document Controller Page 8 of 9 Created: April 20, 2018 Updated: April 24, 2019 Owner: Human Resources Manager FSMS Procedures and Documentation: Training and Development   ▪    295 Training and Development 8 Records Document Location Duration of record Responsibility Induction pack forms Human Resources Indefinitely Human resources manager Department Training needs analysis Human Resources One year, then Human resources manager Department archive Training plan Human Resources One year, then Human resources manager Department archive Training attendance Human Resources One year, then Human resources manager sheet Department archive Training record Human Resources One year, then Human resources manager Department archive Education records Human Resources Indefinitely Human resources manager Department Learning management Learning management Indefinitely Human resources manager system login records system Learning management Learning management Indefinitely Human Resources system evaluation results system Department CHAPTER 4 Classification Company Confidential Training and Development Procedure Doc ID: SOP-014 Printed: Controller: Document Controller Page 9 of 9 Created: April 20, 2018 Updated: April 24, 2019 Owner: Human Resources Manager 296  ▪  FOOD SAFETY HANDBOOK COMPLAINT MANAGEMENT An FBO Procedure Document No. Standard operating procedure SOP-015 Created April 20, 2018 Updated January 13, 2019 Controller Document Controller Owner Food Safety Manager Confidentiality Statement Information in this document must be kept confidential as per the document’s classification below and the rules of disclosure. All FBO documents are classified in the following way. PUBLIC documents are intended for anyone. COMMER- CIAL IN CONFIDENCE documents are to be kept confidential among restricted individuals within the FBO and partner organizations. COMPANY CONFIDENTIAL documents are to be kept confidential within the FBO and used for normal business activities by the general office population. HIGHLY CONFIDENTIAL documents are to be kept confidential among restricted individuals within the FBO. © Copyright FBO. All rights reserved. No part of this publication may be reproduced, stored in a retrieval system, or transmitted in any form or by any means, electronic, mechanical, photocopying, recording, or otherwise, without the written permission of the FBO. Classification Company Confidential Revision History Date Version Author Comments (including review history) 4 April 20, 2018 Draft 01 Joe Bloggs Initial draft for review and discussion CHAPTER April 24, 2018 V1.0 Joe Bloggs Technical review and update of Correction and Corrective Action Procedure notes January 13, 2019 V1.1 Joe Bloggs Updated document reference section Contents 1 Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 297 5 Procedure Flowchart. . . . . . . . . . . . . . . . . . . . . 298 2 Related Documents. . . . . . . . . . . . . . . . . . . . . . . 297 6 Procedure Notes. . . . . . . . . . . . . . . . . . . . . . . . . 298 3 Definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 297 7 Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 300 4 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 297 Classification Company Confidential Complaint Management Procedure Doc ID: SOP-015 Printed: Controller: Document Controller Page 1 of 5 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Complaint Management   ▪    297 Complaint Management 1 Summary Purpose The purpose of this procedure is to describe the methodology used by the organization to manage complaints and maintain customer (retail and ­ commercial) and consumer satisfaction and trust. Scope This procedure applies to the receipt, review, investigation, and resolution of complaints. Functional responsibility The functional responsibility for this procedure lies with the food safety manager. 2 Related Documents Policies Food Safety Policy, POL-001 Processes Food Safety, PRO-001 Procedures Control of Nonconforming Product, SOP-003 Correction and Corrective Action, SOP-009 Management Review, SOP-021 Work instructions Not applicable Forms Complaint form Other Not applicable CHAPTER 3 Definitions Term or acronym Description Correction Immediate action to correct an actual or potential problem Corrective action Action to eliminate the root cause of a problem and prevent recurrence 4 FBO food business operator Root cause A cause that, once removed from the problem fault sequence, prevents the final undesirable event from recurring Root cause analysis A method of problem solving involving the attempt to identify the root cause of a fault or problem 4 Introduction The food business operator (FBO) has implemented a set of processes for gathering customer/­ consumer complaints, reviewing these complaints, conducting investigations, determining the root cause of the complaints, and taking action to resolve the complaints with a view to the prevention of a recurrence. Classification Company Confidential Complaint Management Procedure Doc ID: SOP-015 Printed: Controller: Document Controller Page 2 of 5 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 298  ▪  FOOD SAFETY HANDBOOK Complaint Management A customer/consumer complaint can be defined as any expression of dissatisfaction communicated by the FBO’s customer or consumer regarding any product or services provided by the company. This policy covers all written complaints, serious or unresolved telephone complaints, and complaints raised in a face-to-face meeting or by a third party acting for that customer, such as an intermediary, a legal representative, or a food safety regulatory body. 5 Procedure Flowchart Responsibility Process Records 1 Communication Customer/consumer Customer/consumer records feedback received 2 Complaint Any FBO employee register Complaint recorded 3 Complaint Food safety manager Complaint register valid? Yes 4 Complaint Food safety manager/ Complaint investigated form department managers 4 No CHAPTER 5 Complaint Food safety manager/ Decisions and form management team actions taken 6 Communication Food safety manager Response drafted records for complainant 7 Improvement Action/decisions Food safety manager monitored record and measured 6 Procedure Notes Step 1 Receipt of Complaint A complaint can be made by a customer/consumer face-to-face, over the phone, by e-mail, or by other method. Where relevant food safety regulations also apply, these must be completed in conjunction with this procedure. Classification Company Confidential Complaint Management Procedure Doc ID: SOP-015 Printed: Controller: Document Controller Page 3 of 5 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Complaint Management   ▪    299 Complaint Management If you receive a client complaint, 1. Listen to the client as the complaint is being communicated verbally if face-to-face. 2. Establish what the complaint is and record the complaint on a complaint form. 3. Clarify with the client that you have understood the complaint correctly. 4. As a matter of good practice, apologize for the occurrence of the issue that they have experienced. 5. Outline to the client that the company has a complaints policy, that the com- plaint will be investigated, and that a formal response will be issued to them. Explain that this process may take time. 6. Establish the client’s contact details. Retain copies of any documentation provided by the client and keep these with the complaint form. Step 2 Recording of Complaint Formally complete the complaint form, including the following: 1. Date 2. Reference number 3. Customer name 4. Customer contact number 5. Certificate of product registration number 6. Customer complaint—description 7. Action taken CHAPTER 8. Final status Attach all documentation relating to the complaint. Forward the complaint details to the food safety manager. The food safety manager formally completes the complaint register. The client should be contacted by phone/mail to advise the client that the complaint will be considered within a maximum of five 4 working days. The complaint is forwarded to the food safety manager. A deputy may also carry out this work on behalf of the food safety manager. Step 3 Review of Complaint—Validity The complaint resolution officer carries out an initial assessment on whether the complaint is valid or not. If it is, the complaint is moved on to step 4. If it is not, a formal response outlining the reasons for this outcome is communicated according to step 6. The complaint is forwarded to the relevant department manager for investigation. Step 4 Investigation of Complaint The department manager carries out a detailed investigation using the staff resources available, the branch manager, the member of staff who took the initial complaint, and other staff members as required. The department manager uses the corrective action procedure to investigate the root cause and determine initial containment actions and corrective actions. Classification Company Confidential Complaint Management Procedure Doc ID: SOP-015 Printed: Controller: Document Controller Page 4 of 5 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 300  ▪  FOOD SAFETY HANDBOOK Complaint Management Step 5 Action and Decision Appropriate actions and decisions are taken following the complaint investigation and documented as a correction and corrective actions, with reference to the corrective action procedure. The correc- tive actions are verified for effectiveness as per the corrective action procedure. It may take time to verify the effectiveness of any corrective actions. Step 6 Closure of Complaint The department manager drafts a response for the complainant. This is agreed with the food safety manager if required by the circumstances and then released to the customer/consumer. The food safety manager retains a copy of the formal response with the complaint form. Complaints are filed reference number and date. This should occur within 20 working days of reception of the com- by ­ plaint. If required, the complaint response is communicated to the relevant food safety regulatory body. Step 7 Monitoring and Measuring The food safety manager maintains the complaint files and complaint register for review. The food safety manager carries out an analysis of complaints (specifically, recurrences), a trend analysis, and an analysis of the effectiveness of the complaints system. The food safety manager prepares trending data for the management review process to demonstrate that the complaints are being effectively managed to the satisfaction of the FBO and the client. The complaints and summaries of trending data are inputs for the management review procedure. All complaints are to be completed and audited according to the internal audit procedure. Finally, the food safety manager continues to monitor and measure the effectiveness of actions and decisions to ensure effectiveness and to verify if the same 4 problem and cause occur subsequently. CHAPTER 7 Records Document Location Duration of record Responsibility Complaint form Food Safety Office Seven years Food safety manager Complaint register Food Safety Office Seven years Food safety manager Complaint investigation Food Safety Office Seven years Food safety manager notes and formal responses Trend analysis Food Safety Office Indefinitely Food safety manager Classification Company Confidential Complaint Management Procedure Doc ID: SOP-015 Printed: Controller: Document Controller Page 5 of 5 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Pest Control   ▪    301 PEST CONTROL An FBO Procedure Document No. Standard operating procedure SOP-016 Created November 9, 2017 Updated January 13, 2019 Controller Food Safety Manager Owner Hygiene Manager Confidentiality Statement Information in this document must be kept confidential as per the document’s classification below and the rules of disclosure. All FBO documents are classified in the following way. PUBLIC documents are intended for anyone. COMMER- CIAL IN CONFIDENCE documents are to be kept confidential among restricted individuals within the FBO and partner organizations. COMPANY CONFIDENTIAL documents are to be kept confidential within the FBO and used for normal business activities by the general office population. HIGHLY CONFIDENTIAL documents are to be kept confidential among restricted individuals within the FBO. © Copyright FBO. All rights reserved. No part of this publication may be reproduced, stored in a retrieval system, or transmitted in any form or by any means, electronic, mechanical, photocopying, recording, or otherwise, without the written permission of the FBO. Classification Company Confidential Revision History Date Version Author Comments (including review history) CHAPTER November 9, 2017 Draft 01 Joe Bloggs Initial document for review and discussion November 11, 2017 Draft 02 Joe Bloggs Updated in line with review comments November 12, 2017 Draft 03 Joe Bloggs Updated in line with review comments March 24, 2018 V1.0 Mary Cahill Format changes December 27, 2018 V1.1 Mary Cahill Update following technical review 4 January 13, 2019 V1.2 Mary Cahill Format changes; added form document control numbers and updated document reference section Contents 1 Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 302 6 Procedure Notes. . . . . . . . . . . . . . . . . . . . . . . . . 303 2 Related Documents. . . . . . . . . . . . . . . . . . . . . . 302 6.1 Materials. . . . . . . . . . . . . . . . . . . . . . . . . . . 303 3 Definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 302 6.2 Hazards. . . . . . . . . . . . . . . . . . . . . . . . . . . . 303 6.3 Notes. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 303 4 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . 302 6.4 Recordkeeping. . . . . . . . . . . . . . . . . . . . . . 303 5 Procedure Flowchart. . . . . . . . . . . . . . . . . . . . . 302 7 Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 303 Classification Company Confidential Pest Control Procedure Doc ID: SOP-016 Printed: Controller: Food Safety Manager Page 1 of 3 Created: November 9, 2017 Updated: January 13, 2019 Owner: Hygiene Manager 302  ▪  FOOD SAFETY HANDBOOK Pest Control 1 Summary Purpose The purpose of this procedure is to eliminate or minimize conditions that may allow pests into the food plant. Scope This procedure applies throughout the dairy. Functional The functional responsibility for this procedure lies with the hygiene man- responsibility ager, who is responsible for the effective implementation and maintenance of the procedure. 2 Related Documents Policies Food Safety Policy, POL-001 Processes Food Safety Process Description, PRO-002 Procedures Hygiene Procedure, SOP-005 Maintenance Procedure, SOP-088 Work instructions Not applicable Forms Pest Sighting Log 020 Other Dairy Plant Map SOP-016-1 J&J Pest Control: 608-222.4400 Pest Control Book SOP-016-2 4 3 Definitions CHAPTER Term or acronym Description Pest sighting log A log containing details of the pests seen, with entries on where and when the sightings took place 4 Introduction The Pest Control Procedure documents and identifies target pests and hazards and addresses plans, methods, schedules, and control procedures. 5 Procedure Flowchart Not applicable. Classification Company Confidential Pest Control Procedure Doc ID: SOP-016 Printed: Controller: Food Safety Manager Page 2 of 3 Created: November 9, 2017 Updated: January 13, 2019 Owner: Hygiene Manager FSMS Procedures and Documentation: Pest Control   ▪    303 Pest Control 6 Procedure Notes 6.1 Materials 1. Pest Control Book, document ID SOP-016-2, located on the shelving unit in the loading dock 2. J&J Pest Control: 608 222-4400, list of pest control chemicals 6.2 Hazards 1. Chemical treatments are located throughout the dairy; see the pest control dairy plant map. Plant personnel are not responsible for handling the treatments, but should be aware of their presence. 6.3 Notes 1. A pest control representative from J&J Pest Control Company comes to the plant on a weekly basis to inspect for pests. The representative should also be noting any conditions that are conducive to pest infestation. a. The inspection includes the interior and exterior of the building, especially areas that are prone to pest infestation. b. The representative must also inspect any areas noted in the Pest Sighting Log 020 and Pest Control Book SOP-016-2. 2. A report is filled out on each visit and is kept in the Pest Control Book SOP-016-2. The pest control representative must notify the food safety manager of inspection CHAPTER results and obtain the food safety manager’s signature. 3. It is the pest control representative’s responsibility to follow through on any treat- ment that may be necessary. The plant should utilize the suggestions of the repre- sentative on preventing pest infestation. 4. If a plant employee notices any pests, they should undertake the following: a. Record in the Pest Sighting Log 020 what pest was seen, where it was seen, and 4 the date of the sighting. b. Notify the food safety manager. 6.4 Recordkeeping All visits and treatments related to pest control must be documented in the SOP-016-2 Pest Control Book. 7 Records Document Location Duration of record Responsibility Pest Sighting Log Loading dock Indefinitely Hygiene manager Classification Company Confidential Pest Control Procedure Doc ID: SOP-016 Printed: Controller: Food Safety Manager Page 3 of 3 Created: November 9, 2017 Updated: January 13, 2019 Owner: Hygiene Manager 304  ▪  FOOD SAFETY HANDBOOK MANAGEMENT REVIEW An FBO Procedure Document No. Standard operating procedure SOP-021 Created April 20, 2018 Updated April 24, 2019 Controller Document Controller Owner Food Safety Manager Confidentiality Statement Information in this document must be kept confidential as per the document’s classification below and the rules of disclosure. All FBO documents are classified in the following way. PUBLIC documents are intended for anyone. COMMER- CIAL IN CONFIDENCE documents are to be kept confidential among restricted individuals within the FBO and partner organizations. COMPANY CONFIDENTIAL documents are to be kept confidential within the FBO and used for normal business activities by the general office population. HIGHLY CONFIDENTIAL documents are to be kept confidential among restricted individuals within the FBO. © Copyright FBO. All rights reserved. No part of this publication may be reproduced, stored in a retrieval system, or transmitted in any form or by any means, electronic, mechanical, photocopying, recording, or otherwise, without the written permission of the FBO. Classification Company Confidential Revision History Date Version Author Comments (including review history) 4 April 20, 2018 Draft 01 Joe Bloggs Initial document for review and discussion CHAPTER April 24, 2019 V1.0 Joe Bloggs Approved for release by process owner Contents 1 Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 305 7.2 Agenda . . . . . . . . . . . . . . . . . . . . . . . . . . . . 308 2 Related Documents. . . . . . . . . . . . . . . . . . . . . . 305 7.3 Review Output. . . . . . . . . . . . . . . . . . . . . . 309 3 Definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 305 7.4 Management Review Minutes . . . . . . . . 309 7.5 Approval of the Management Review 4 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . 305 Minutes�������������������������������������������������������309 5 Procedure Flowchart. . . . . . . . . . . . . . . . . . . . . 306 7.6 Communication of the Output of the 6 Procedure Notes. . . . . . . . . . . . . . . . . . . . . . . . . 307 Management Review�������������������������������309 7 Management Review Meeting. . . . . . . . . . . . . 307 8 Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .309 7.1 Attendees. . . . . . . . . . . . . . . . . . . . . . . . . . 307 Classification Company Confidential Management Review Procedure Doc ID: SOP-021 Printed: Controller: Document Controller Page 1 of 6 Created: April 20, 2018 Updated: April 24, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Management Review   ▪    305 Management Review 1 Summary Purpose The purpose of this procedure is to describe the following: • The methodology employed by senior management to ensure that the food safety management system (FSMS) remains suitable, adequate, and effective and is continuously improved. Scope This procedure applies to the following: • Planning, data gathering, the identification of trends, presentations to the senior management team, and the follow-up of any identified action items, including the updating of the FSMS. Functional The functional responsibility for this procedure lies with the food safety team responsibility leader or food safety manager, who is responsible for the effective implemen- tation and maintenance of the procedure. 2 Related Documents Policies Food Safety Policy, POL-001 Procedures Internal Auditing, SOP-006 Correction and Corrective Action, SOP-009 Strategic Planning, SOP-019 Risk Management, SOP-030 Work instructions Not applicable CHAPTER Forms Management review meeting minutes, document template Management review meeting, presentation template Other Data reviewed as part of the management review meeting 3 Definitions 4 Term or acronym Description FBO food business operator FSMS food safety management system Management team The individual or group who directs and controls an organization at the highest level 4 Introduction In line with good business practice and the requirements of International Organization for Standard- ization (ISO) 22000:2018, clause 9.3, the senior management of the company will review the food safety management system (FSMS) at least once a year on a fixed date to ensure that the company Classification Company Confidential Management Review Procedure Doc ID: SOP-021 Printed: Controller: Document Controller Page 2 of 6 Created: April 20, 2018 Updated: April 24, 2019 Owner: Food Safety Manager 306  ▪  FOOD SAFETY HANDBOOK Management Review remains suitable, adequate, and effective. This review will be a structured process and identify outputs and actions related to continual improvement opportunities, the need for changes to the FSMS, and resource needs. This review will be held at least once a year and must be attended by the general manager, the heads of departments, and the food safety team leader. A quorum of at least the general manager, all heads of departments, and the food safety manager is required for the meeting to proceed. Minutes must be taken, including any action items identified during the meeting and held on file. 5 Procedure Flowchart Responsibility Process Records 1 Heads of departments Gather data 2 Presentation Heads of departments Identify data trends and issues 3 Meeting Food safety manager Create meeting presentation slides presentation 4 Meeting presentation slides CHAPTER Top management/ 4 heads of departments/ Conduct meeting food safety manager Meeting agenda 5 Meeting minutes Top management Identify action items 6 Meeting minutes Top management Assign responsibilities and time lines Meeting minutes 7 Food safety manager Draft meeting minutes Meeting presentation slides 8 Food safety manager Publish and share meeting minutes Classification Company Confidential Management Review Procedure Doc ID: SOP-021 Printed: Controller: Document Controller Page 3 of 6 Created: April 20, 2018 Updated: April 24, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Management Review   ▪    307 Management Review 6 Procedure Notes Steps 1 and 2 In advance of the scheduled management review meeting, the heads of departments will bring together data on the performance of the processes and activities of their departments. These data will then be reviewed by them to identify trends, either positive or negative. These trends will then be presented to the management team during the review and sent to the food safety manager in preparation for the management review. Step 3 Based on the data received from the heads of departments, the food safety manager will create the overall management review presentation slides if necessary or required. Steps 4, 5, and 6 The general manager of the food business operator (FBO) will chair the meeting, supported by the food safety manager. The two will assign a person to take the minutes of the meeting. The food safety manager may invite other process owners to present specific agenda items at the meeting. Each attendee will be allowed to ask any questions and so on in relation to the data to allow for a full and open discussion. If decisions are taken or action items are identified, these must be agreed by the management team and recorded in the minutes in accordance with section 7.4 of this procedure. If an action is agreed, the specific action, person responsible, and time frame should be recorded. Steps 7 and 8 CHAPTER The minutes will be taken during the meeting, and the minutes will be verified as follows: ▪▪ The food safety manager must review and approve the minutes prior to issuing them to the general manager. ▪▪ The general manager or the deputy of the general manager must sign and date the minutes of the meeting to signify approval of the minutes and a commitment to ensure completion and implementation of any decisions or actions identified. 4 Once approved, the minutes can be circulated to the organization. A copy of the minutes must be held on file for the purposes of recordkeeping. The minutes of the meeting should be published within five days of completion of the meeting. 7 Management Review Meeting 7.1 Attendees The following persons are required to attend the meeting: ▪▪ General managers ▪▪ Heads of departments ▪▪ Food safety manager ▪▪ Any other persons as required Classification Company Confidential Management Review Procedure Doc ID: SOP-021 Printed: Controller: Document Controller Page 4 of 6 Created: April 20, 2018 Updated: April 24, 2019 Owner: Food Safety Manager 308  ▪  FOOD SAFETY HANDBOOK Management Review If a deputy attends and stands in as the representative of another person, the deputy is assumed to have the full authority of the other person in relation to making decisions and accepting responsibility to carry out any decisions or actions agreed at the meeting. Deputies should be relied on in this way only as an exception. 7.2 Agenda The agenda for the management review meeting must include at least the following points: ▪▪ The status of actions agreed during previous management reviews ▪▪ Changes in external and internal issues that are significant and that are relevant to the FSMS, including, but not limited to, legal, technological, competitive, market, cultural, social, or economic environments; cybersecurity and food fraud; food defense and intentional contamination; and the knowledge and performance of the organization, whether international, national, regional, or local ▪▪ Information on food safety performance, including trends and indicators on the following: • The results of system updating activities • Monitoring and measurement results, including, but not limited to, trends in environmental monitoring, hygiene inspection rounds, glass inspection rounds, product quality (including microbiological data), product shelf life monitor- ing data, pest control, customer or consumer complaints, supplier complaints, blocked stock, critical control point (CCP) violations, operational prerequisite program (OPRP) violations, and mock recall performance • Nonconformities and corrective actions 4 • Analysis of the results of verification activities related to prerequisite programs CHAPTER (PRPs) and the hazard analysis critical control point (HACCP) plan • The results of both internal and external audits • Inspections, for example, regulatory or customer inspections • Customer satisfaction survey results • Issues concerning external providers and other relevant interested parties • The extent to which the objectives of the FSMS have been met ▪▪ The adequacy of the resources required for maintaining an effective FSMS ▪▪ New or revised statutory and regulatory requirements ▪▪ Emergency situations, accidents, and food product withdrawals ▪▪ Review of the effectiveness of the food safety team: is the food safety team informed of all relevant changes and assigned sufficient time to provide the necessary input ▪▪ Analyses of risks and opportunities and the effectiveness of actions taken to address the risks and opportunities ▪▪ New, potential opportunities for continual improvement ▪▪ Documentation management system (DMS) performance ▪▪ Food safety policy, including potential update and signing by the general manager ▪▪ Updating objectives, that is, objectives that are SMART (specific, measurable, attainable (or achievable), realistic, and time-bound) ▪▪ Any other business Classification Company Confidential Management Review Procedure Doc ID: SOP-021 Printed: Controller: Document Controller Page 5 of 6 Created: April 20, 2018 Updated: April 24, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Management Review   ▪    309 Management Review 7.3 Review Output The output of the management review meeting shall include decisions and actions related to continual improvement opportunities and to the following: ▪▪ Assurance of food safety ▪▪ Improvement of the effectiveness of the FSMS, including communication if necessary ▪▪ Resource needs ▪▪ Any need for changes in the FSMS, including revisions in food safety policy and objectives The overall output of the meeting is a decision on whether the FSMS remains suitable, adequate, and effective. Documented information on the meeting and the decisions and actions of the meeting should be kept as evidence of the results. 7.4 Management Review Minutes Minutes must be produced following every meeting and be created using the approved template. The minutes must be detailed and accurate and give a clear description of the topics covered. If any deci- sions or actions are identified as a result of the meeting, these must accomplish the following: ▪▪ Clearly describe the decisions taken, including potential implications ▪▪ Clearly describe the required actions to be taken ▪▪ Identify the individual or group responsible for the completion of the action CHAPTER ▪▪ Identify the time frame assigned for the completion of the action Management review records will be maintained for six years. 7.5 Approval of the Management Review Minutes 4 The minutes are approved as outlined in steps 7 and 8 in the procedure notes. 7.6 Communication of the Output of the Management Review An abridged version of the minutes will be communicated to the company through the heads of departments. 8 Records Document Location Duration of record Responsibility Management review presentation Food Safety Office Six years Food safety manager slides if used Management review meeting Food Safety Office Six years Food safety manager minutes Classification Company Confidential Management Review Procedure Doc ID: SOP-021 Printed: Controller: Document Controller Page 6 of 6 Created: April 20, 2018 Updated: April 24, 2019 Owner: Food Safety Manager 310  ▪  FOOD SAFETY HANDBOOK CALIBRATION An FBO Procedure Document No. Standard operating procedure SOP-022 Created April 20, 2018 Updated January 13, 2019 Controller Document Controller Owner Food Safety Manager Confidentiality Statement Information in this document must be kept confidential as per the document’s classification below and the rules of disclosure. All FBO documents are classified in the following way. PUBLIC documents are intended for anyone. COMMER- CIAL IN CONFIDENCE documents are to be kept confidential among restricted individuals within the FBO and partner organizations. COMPANY CONFIDENTIAL documents are to be kept confidential within the FBO and used for normal business activities by the general office population. HIGHLY CONFIDENTIAL documents are to be kept confidential among restricted individuals within the FBO. © Copyright FBO. All rights reserved. No part of this publication may be reproduced, stored in a retrieval system, or transmitted in any form or by any means, electronic, mechanical, photocopying, recording, or otherwise, without the written permission of the FBO. Classification Company Confidential Revision History Date Version Author Comments (including review history) 4 April 20, 2018 Draft 01 Joe Bloggs Initial document for review and discussion CHAPTER April 24, 2018 V1.0 Joe Bloggs Approved for release by process owner January 13, 2019 V1.1 Joe Bloggs Updated related documented section Contents 1 Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 311 6.3 Change of Equipment Status. . . . . . . . . . . 314 2 Related Documents. . . . . . . . . . . . . . . . . . . . . . . 311 6.4 Calibration Database and Reporting. . . . 315 3 Definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 312 6.5 Remedial/Corrective Action Process. . . . . 316 6.6 Labeling, Identification, and Storage. . . . 316 4 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 312 6.7 Battery Replacement . . . . . . . . . . . . . . . . . 317 5 Procedure Flowchart. . . . . . . . . . . . . . . . . . . . . . 313 6.8 Calibration Procedures. . . . . . . . . . . . . . . . 317 6 Procedure Notes. . . . . . . . . . . . . . . . . . . . . . . . . . 313 6.9 Calibration—Internal . . . . . . . . . . . . . . . . . 318 6.1 Enrollment of Equipment in the 6.10 Calibration—External. . . . . . . . . . . . . . . . . 319 Calibration Program 313 6.11 Finalizing. . . . . . . . . . . . . . . . . . . . . . . . . . . . 321 6.2 Calibration Intervals. . . . . . . . . . . . . . . . . . 313 7 Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 321 Classification Company Confidential Calibration Procedure Doc ID: SOP-022 Printed: Controller: Document Controller Page 1 of 12 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Calibration   ▪    311 Calibration 1 Summary Purpose The purpose of this procedure is to describe the calibration program requirements for measurement and test equipment. ­ Scope This procedure applies to measurement and test equipment, that is, devices used to test, measure, evaluate, inspect, or otherwise examine materials, supplies, equipment, and systems or to determine compliance with speci- fications. This includes process control devices with the potential to impact food safety. This procedure provides instructions for the management of calibrations performed on measurement and test instruments by service organiza- tions, original equipment manufacturers, contractors, or laboratories (herein referred to as contractor) and to ensure traceability to national or ­international standards. This procedure states the documentation requirements for equipment calibrated by in-house personnel. ­ All measurement and test equipment is to be enrolled in the Calibration Program or the Preventive Maintenance Program. Enrollment includes ­ ­ measurement and test equipment designated “Reference Only” and “No ­Calibration Required.” Functional The functional responsibility for this procedure lies with the food safety responsibility manager, who is responsible for the effective implementation and ­ maintenance of this procedure. ­ Departmental managers are responsible for ensuring that records under CHAPTER their control are managed in accordance with this documented procedure. 2 Related Documents Policies Food Safety Policy, POL-001 Processes Food Safety, PRO-001 4 Procedures Control of Documents, SOP-001 Control of Nonconforming Product, SOP-003 Correction and Corrective Action, SOP-009 Work instructions Not applicable Forms Test equipment installation qualification Measurement instrument status change form Other TEM Manuals ISO/IEC 17025:2017 Internal calibration report Classification Company Confidential Calibration Procedure Doc ID: SOP-022 Printed: Controller: Document Controller Page 2 of 12 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 312  ▪  FOOD SAFETY HANDBOOK Calibration 3 Definitions Term or acronym Description Accuracy The relative agreement of a measured value with an accepted standard Calibration Verification of a measurement instrument’s performance against a traceable standard Calibration interval The duration of time between calibrations FSMS food safety management system Loop calibration The calibration of measurement instruments as installed in a total system; represents the calibration of the instruments as used Measurement Any instrument that monitors or controls a critical parameter of a manu- equipment facturing process or controlled environment or that is used to measure a product or component specification National standard A reference tool utilized by an internationally recognized standards laboratory representing the country that operates the laboratory Precision Also known as repeatability; the variation in readings obtained by repeating the exact same measurement(s) Range The breadth or span of an instrument’s capability of measurement Reproducibility A measure of the ability of a measuring instrument to produce the same readings if the instrument is used by a different operator Resolution The power of discrimination of an instrument; for analogue instruments, this is limited to one-half of a minor scale graduation 4 Standard A defined reference tool that is traceable to a national standard CHAPTER Test accuracy ratio The amount of uncertainty in a measurement with respect to an absolute standard Traceability The documented reference of calibration results to a recognized standard 4 Introduction Calibration defines the accuracy and quality of measurements recorded using a piece of equipment. Over time, there is a tendency for results and accuracy to drift, especially during the use of particular technologies or the measurement of particular parameters, such as temperature and humidity. If one is to be confident in the results being measured, equipment needs to be calibrated, serviced, and main- tained throughout its lifetime to produce reliable, accurate, and repeatable measurements. The goal of calibration is to minimize any measurement uncertainty by ensuring the accuracy of the test equipment. Calibration quantifies and controls errors or uncertainties within measurement pro- cesses to an acceptable level. Calibration is thus vitally important wherever measurements are important. It enables users and busi- nesses to have confidence in the results that they monitor, record, and subsequently control. Classification Company Confidential Calibration Procedure Doc ID: SOP-022 Printed: Controller: Document Controller Page 3 of 12 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Calibration   ▪    313 Calibration 5 Procedure Flowchart Not applicable. 6 Procedure Notes 6.1 Enrollment of Equipment in the Calibration Program The requester will notify the Calibration Department of new equipment by completing and returning the test equipment installation qualification form to the Calibration Department. The requester shall deliver the following to the Calibration Department: ▪▪ Measuring equipment (if portable). ▪▪ The test equipment installation qualification form. ▪▪ The test equipment installation qualification form shall detail the measurement instrument’s suitability for its intended use prior to enrollment. The determination of suitability must consider accuracy, the test accuracy ratio, precision, range, reso- lution, and conditions of use, including environmental conditions. A test accuracy ratio of at least 4:1 is required; the rationale for any exceptions must be docu- mented and approved. ▪▪ A test accuracy ratio of at least 10:1 shall be required for the standards used for in-house calibration; the rationale for exceptions must be documented and approved. ▪▪ A copy of the equipment specifications (if available from the manual/catalogue) CHAPTER will be included; otherwise, the calibration requirements will be listed in the special instructions section. ▪▪ Operation or service manual(s) for equipment that is to be or that can potentially be calibrated in-house (if available). ▪▪ Calibration certificate(s). ▪▪ The certificates for new measurement and test equipment require, at a minimum, 4 a statement of traceability to national, international, or consensus standards and conformity with published specifications. Active measurement and test equipment that is not calibrated over the entire measurement range or  capabilities shall be identified with a “Limited” label or equivalent. The limitations on use shall  be affixed on or near the measurement and test equipment. Limitations shall be listed in “Special Instructions” section of the test equipment installation qualification form. the ­ 6.2 Calibration Intervals The interval assignment should be established as recommended below in descending order of preference: ▪▪ The calibration history and intended use of the equipment under evaluation ▪▪ Similar measurement and test equipment enrolled in the calibration system ▪▪ Documented engineering rationale based on usage Classification Company Confidential Calibration Procedure Doc ID: SOP-022 Printed: Controller: Document Controller Page 4 of 12 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 314  ▪  FOOD SAFETY HANDBOOK Calibration ▪▪ Manufacturer’s recommendation ▪▪ In the event none of the above information is available, the initial interval shall not be greater than six months. Interval changes may be requested by the owner department by completing the interval change form. The rationale must be documented on the form. Approvals should consider the risk of using out-of-tolerance measurement and test equipment in the production or inspection process(es). Interval increases greater than half (1/2) the current calibration cycle require justification based on the recommendations above. The initial introduction of new measurement instruments that have not been used since the initial calibration performed by the original equipment manufacturer may be extended another full cycle if this is permitted by the original equipment manufacturer as documented on the original equipment manufacturer’s calibration certificate within the calibration system software. Calibration intervals shall be evaluated and documented on an annual basis by the calibration coor- dinator within the calibration system software. 6.3 Change of Equipment Status The equipment owner will request changes in the equipment/calibration status using the measure- ment instrument status change form. Equipment/calibration status categories include, but are not limited to, the following: 4 ▪▪ Active: measurement and test equipment that is calibrated over the entire measure- ment range or capabilities; this equipment shall be labeled with a “Calibrated” label CHAPTER ▪▪ Inactive: measurement or test equipment that is currently not in use and, conse- quently, should not be an active part of the calibration program; this equipment shall be labeled with a “Do Not Use–Out of Service” label and made inoperable if possible ▪▪ Discontinued: measurement and test equipment that has been discontinued or destroyed ▪▪ Reference only: measurement and test equipment that has a measurement capability, but is currently not used for any measurement or test activities to ­ determine conformity with any equipment, product, process, design verification/ validation, or environmental specifications; this equipment shall be labeled with a “Not ­Calibrated–For Reference Only” label ▪▪ No calibration required: measurement and test equipment that, by nature or appli- cation, does not require periodic calibration; equipment in this category includes intrinsic standards and equipment used in specific applications in which output values are verified by other calibrated measurement and test equipment; this equip- ment shall be labeled with a “No Calibration Required” label ▪▪ Lost: equipment that cannot be located by the owner department DISCONTINUED/DISPOSED EQUIPMENT The department owning the equipment to be disposed of/discontinued will complete the measure- ment instrument status change form. Classification Company Confidential Calibration Procedure Doc ID: SOP-022 Printed: Controller: Document Controller Page 5 of 12 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Calibration   ▪    315 Calibration The calibration ID label will be removed from the equipment by the owner department and affixed to the measurement instrument status change form. The equipment shall be appropriately identified for disposal/destruction by the owner department. The owner department will obtain approval for disposal of the asset. The completed measurement instrument status change form will be forwarded to the Calibration Department. Equipment transfers—measurement and test equipment the primary use/ownership of which is being permanently transferred between departments or divisions. The original owner department is respon- sible for completing the measurement instrument status change form for any measurement and test equipment that is being transferred to another department or division and for obtaining the signature of the new owner department. 6.4 Calibration Database and Reporting Quality assurance/engineering/document control shall maintain a system for tracking and controlling measurement and test equipment that will prevent the use of expired or unfit measurement and test equipment. The calibration database shall outline the calibration method in the comments section of the equipment history record, for example, subcontract on-site calibration (performed on-site by an approved supplier). Subcontractor: typically measuring and test equipment sent out to an approved supplier. CHAPTER The calibration database shall distinguish internal company standards from measurement instruments. The Calibration Department will issue a calibration status report to the product department supervisors, department calibration representatives, food safety manager, and production manager once every month. The monthly calibration status report shall consist of the following: 4 ▪▪ Equipment due for calibration in the next 30 days ▪▪ Equipment overdue for calibration ▪▪ Equipment on hand, that is, on-site and properly calibrated ▪▪ Remedial/corrective action form status The calibration manager has two main sets of records that store all pertinent information: the equip- ment master and equipment history. Records are entered into these two corresponding screens by the calibration coordinator(s). The equipment master stores general information, such as ID description and scheduling information (called events) for each piece of equipment. The equipment history main- tains historical information for specific equipment. Events can be calibrations, repairs, operations, and so on. Each time an event is performed, the result of the event, including any measurement infor- mation, is entered as a history record by the calibration coordinator(s). All data are entered by the calibration coordinator(s) and administrator; other users, such as the cal- ibration representatives, have “User” or “Read Only” status within the calibration system software. All information, whether deleted or entered, is mapped through an audit trail in the database. Classification Company Confidential Calibration Procedure Doc ID: SOP-022 Printed: Controller: Document Controller Page 6 of 12 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 316  ▪  FOOD SAFETY HANDBOOK Calibration 6.5 Remedial/Corrective Action Process The Calibration Department will issue a remedial/corrective action form to the equipment’s owner department supervisor when measurement and test equipment is returned from calibration with an identified out-of-tolerance condition before calibration. A description of the specific out-of-tolerance parameters will be included or attached to the form. Any equipment with out-of-tolerance occurrences before calibration will be issued a “Do Not Use– Out of Service” label or will be quarantined in the calibration area, pending completion of the reme- dial/corrective action form by the owner department. All remedial/corrective action forms will address the impact of the out-of-tolerance condition on the product(s)/process(es). A concise and detailed explanation of this decision shall be documented. The following should be addressed in the remedial response: ▪▪ How important the affected feature is to the end user ▪▪ How the out-of-tolerance condition relates to the product specification(s) ▪▪ Any potential product impact ▪▪ If the product impact has been identified, the product failure mode effect analysis or a risk analysis report shall be used to define the potential patient or user safety impact ▪▪ This may include ancillary documents, such as handwritten notes, calculations, graphs, tables, sketches, or photographs Remedial actions should also address measurement and test equipment disposition, as follows: 4 ▪▪ The fitness of the equipment for continued use CHAPTER ▪▪ The calibration interval of the equipment if a change to the interval is being made as a result of the evaluation ▪▪ Other changes to prevent recurrence, including the appropriateness of the equip- ment for the measurement/test function and operator handling of the equipment Any remedial/corrective actions open for more than four weeks will be reported by the calibration coordinator to the food safety manager and department supervisor. 6.6 Labeling, Identification, and Storage A calibration label must be attached to or posted within visual range of the measurement and test equipment. Calibrated measurement and test equipment shall be marked with a label displaying the following: ▪▪ The date of the most recent calibration ▪▪ The date when the next calibration is scheduled ▪▪ The aforementioned dates shall be of the format type requirements of SOP-024, for example, Jan/5/2015 or 5/Jan/15 to avoid confusion between calibrations per- formed in Europe and the United States ▪▪ The initials of the personnel or subcontractor who performed the calibration or the name of the subcontractor Classification Company Confidential Calibration Procedure Doc ID: SOP-022 Printed: Controller: Document Controller Page 7 of 12 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Calibration   ▪    317 Calibration If the item is too small for this type of marking, a color code or smaller identifying mark shall be employed and cross-referenced on the test equipment installation qualification form for that specific item. Calibration seals shall be affixed to measurement and test equipment if a possibility of alteration of calibrated settings might occur. A tamper-proof seal is affixed to the setting adjustment area or access screw; this acts as a safeguard against any internal or external adjustments that could invalidate the calibration settings. Acceptable methods of sealing are as follows: ▪▪ Tamper-proof labels ▪▪ Inspection lacquer ▪▪ Low-strength Tread Loc To avoid damage, measurement instruments and standards, where applicable, such as vernier calipers, shall be stored in suitable packaging when not in use. Spare/backup measurement and test equipment (portable) shall be stored in locked cabinets. Cabinets identified as “Calibrated Test Equipment” contain standards and measurement equipment that are currently suitable for use. Cabinets identified as “Test Equipment Not Calibrated” contain items due for calibration and inactive measurement and test equipment. Only the calibration coordinator(s) and administrator shall have access to these storage cabinets. 6.7 Battery Replacement CHAPTER The calibration coordinator shall perform battery replacement on any measurement and test equip- ment that requires battery replacement. The calibration coordinator shall use appropriate electro- static devices and practices and subsequently replace any tamper-proof seals/labels as required. 6.8 Calibration Procedures 4 Calibration procedures must be application specific and must prescribe step-by-step instructions for the calibration of measurement and test equipment or categories thereof. These shall be prepared internally, by another agency, the manufacturer, or a composite of any of these. Internal calibration procedure part numbers and current revisions shall be referenced on the related calibration record/ form. Calibration procedures must state the acceptable limits of accuracy and precision, the standards required, and sufficient information to enable qualified personnel to perform the calibration. Equipment used for calibration(s) shall have a test accuracy ratio of at least 10:1, that is, calibra- tion equipment uncertainty will be 10 times greater than the uncertainty of the measurement and test equipment being calibrated. The rationale for exceptions must be documented and approved. The rationale may include an increase in the calibration frequency to compensate for this lack of compliance. Calibration procedures and internal calibration records must state “Calibration performed by trained personnel only.” Classification Company Confidential Calibration Procedure Doc ID: SOP-022 Printed: Controller: Document Controller Page 8 of 12 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 318  ▪  FOOD SAFETY HANDBOOK Calibration 6.9 Calibration—Internal Requirements for calibrations performed by company personnel are as follows: ▪▪ The calibration standards used to perform internal calibrations shall be traceable to a national or international standard(s). ▪▪ Calibrations are to be performed per application-specific written procedures at the most current revision level and describing the step-by-step method of calibrating specific instruments or categories of instruments. ▪▪ For company-manufactured equipment, calibrations will be performed at the revision level applicable to the equipment. ­ ▪▪ Calibrations conducted by company personnel require a cross-check to be performed prior to commencing to ensure that proper documentation/procedure(s) is/are used. ▪▪ Company personnel performing calibrations must be trained in the proper proce- dure and revision level based on evidence in the individual’s training record. ▪▪ Calibration procedures shall clearly state the ranges of acceptable tolerances or limits. ▪▪ Recorded calibration data shall be recorded to the significant digit expressed in the limits. ▪▪ The environmental conditions for test and measurement equipment calibration, such as lighting, vibration, and so on, other than temperature and humidity, unless these are defined by the manufacturer’s specification or user manual, shall comply with the manufacturer’s published specification. ▪▪ Environmental conditions shall be monitored by calibration personnel to ensure that requirements are met during the performance of in-house calibration. ▪▪ Upon completion of the calibration of an item, the personnel performing the cal- 4 ibration will indicate environmental compliance by checking off the appropriate CHAPTER section on the company calibration report. ▪▪ If temperature or humidity exceeds the specified limits for a particular calibration type, work for that type will be suspended and a supervisor will be notified to assess the impact. Documentation on calibration within the calibration system software or equivalent shall include a completed internal calibration report, showing the following: ▪▪ Equipment ID number ▪▪ Description of equipment ▪▪ Part number or manufacturer of the equipment ▪▪ Revision of the equipment (if applicable) ▪▪ Calibration/test procedure/drawing numbers used ▪▪ Revision of the procedure used ▪▪ Indication of the cross-check performed (if applicable) ▪▪ Identification of the person performing the calibration/test ▪▪ Calibration standard(s) or equipment used ▪▪ Due date(s) of the standard(s) used ▪▪ Date the calibration was completed ▪▪ Next calibration due date ▪▪ Indication of the condition of the equipment (pre- and postcalibration) Classification Company Confidential Calibration Procedure Doc ID: SOP-022 Printed: Controller: Document Controller Page 9 of 12 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Calibration   ▪    319 Calibration Personnel training to perform calibrations must also include the trainer’s signature in the section labeled “Approved by” and indicating verification of the following: ▪▪ Training on and the use of correct procedures ▪▪ Cross-check (if applicable) ▪▪ Acceptability of data Pre- and postcalibration data, including acceptable tolerances/limits may be recorded on the internal calibration report or on a data sheet specific to the equipment’s calibration procedure; the completed data sheet will be attached to the internal calibration report. The Calibration Department will perform a cursory review of the completed internal calibration report form and applicable data sheets to carry out the following: ▪▪ A review for completeness ▪▪ A review for out-of-tolerance conditions If the results indicate that the precalibration condition was out-of-tolerance, issue a remedial/­ corrective action form. If the equipment is not fully calibrated to the manufacturer’s or procedural specifications, the equipment may be used in a limited status. In these circumstances: ▪▪ Equipment will be identified using the limited calibration label ▪▪ Limitations on use will be clearly identified on or near the equipment. If the calibration is found to be acceptable, the Calibration Department shall do the following: CHAPTER ▪▪ Sign or stamp and date the calibration report as evidence of completion in the section labeled “Reviewed by” ▪▪ Apply, or issue, an updated calibration label ▪▪ If the equipment status is being changed, the equipment owner must complete a measurement instrument status change form ▪▪ The Calibration Department shall file the internal calibration report and relevant 4 data sheets in the equipment’s history folder 6.10 Calibration—External Calibration method: Calibration performed by contractors shall be conducted by approved suppliers (registered on the approved supplier list). The methods and criteria used to perform the calibration of measurement and test equipment shall comply with the manufacturer specifications and shall be traceable, through certification, to a national or international standard, for example, the U.S. National Institute of Standards and Technology, the United Kingdom Accreditation Service, or equivalent. The method of calibration for linear measurement instruments, such as external micrometers, vernier calipers, and dial gauges, may rely on the methodology outlined in the British Standards in Engineer- ing Metrology, for example, BS 870, BS 887, BS 907, and so on. Special instructions for calibration shall be detailed in the test equipment installation qualification form, where applicable. Classification Company Confidential Calibration Procedure Doc ID: SOP-022 Printed: Controller: Document Controller Page 10 of 12 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 320  ▪  FOOD SAFETY HANDBOOK Calibration Documentation requirements: all documentation provided by the contractor shall include, at a min- imum, the following: ▪▪ Measurement instrument identifier ▪▪ The date of calibration ▪▪ Tolerances or the specified accuracy ▪▪ Precalibration data ▪▪ Postcalibration data (if adjusted) ▪▪ The identity of the standards used ▪▪ The calibration due date of the standards ▪▪ Ancillary measurement documentation (graphs, tables, photos, and so on), if applicable ▪▪ Statement of acceptability (pass/fail) ▪▪ Signature or stamp of person performing the calibration, or the contractor’s name and address Repairs: for equipment identified as requiring repairs by the contractor, the Calibration Department will do the following: ▪▪ Request that the contractor provide a quote for the cost of the repair and provide an estimated time for completion of the repair ▪▪ Notify the owner department of the need for equipment repair and request approval for the repairs 4 Approval of repairs: The owner department will provide a signed and dated purchase request for the CHAPTER cost of the repair. The Calibration Department will tell the contractor to proceed with repairs and provide an account number or purchase order number. Lack of approval for the repairs: Tell the contractor to return the equipment unrepaired if offsite Receiving equipment: Upon receipt of the equipment from the contractor, the Calibration Depart- ment will do the following: ▪▪ Physically examine the measurement and test equipment for any damage. ▪▪ Review all calibration documentation for required information by checking off blocks on the calibration return checklist as conformity with the requirements is verified. ▪▪ Place measurement and test equipment with documentation missing or insufficient information in the calibration storage cabinet (“Test Equipment Not Calibrated”) or labeled “Do Not Use–Out of Service.” ▪▪ The approval of measurement and test equipment with documentation missing or insufficient information shall be required of Calibration Department personnel prior to the release of the equipment for use. Calibration Department personnel will print their names, sign, or stamp and date the discrepancy approval section of the calibration documentation return checklist upon acceptance or approval of documentation, as well as the document rationale in the remarks section for any deficient certificates. Classification Company Confidential Calibration Procedure Doc ID: SOP-022 Printed: Controller: Document Controller Page 11 of 12 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Calibration   ▪    321 Calibration ▪▪ If Calibration Department personnel approval is denied, contact the subcontractor, requesting the deficient information. Repeat the process from the start. ▪▪ Compare specific values (data) with acceptance criteria (tolerances/accuracy specifi- cations) or review the statement of acceptability for out-of-tolerance conditions. ▪▪ Owner departments of equipment with a precalibration out-of-tolerance condition shall be issued a remedial/corrective action form. If the calibration certificate indicates that the equipment is not calibrated over the entire range of mea- surement or the postcalibration condition was out of tolerance, the equipment may be treated as follows: ▪▪ Discontinued ▪▪ Placed in “Not in Use” or “Inactive” status ▪▪ Used as “Reference Only” ▪▪ Used in a limited status. In these circumstances, equipment will be identified using a limited calibration or special calibration label; limitations of use will be clearly identified on or near the equipment ▪▪ Verify that the dates on the calibration label and calibration certificate concur and compare the due date with the calibration interval. ▪▪ Check for calibration seals, where appropriate. 6.11 Finalizing ▪▪ Print name, sign, or stamp and date the form and return checklist as evidence of review and availability for use; the form will be placed with equipment calibration certificate records in the designated cabinet. CHAPTER ▪▪ Update the calibration database to include all newly received information, such as next calibration due date and status, and so on. ▪▪ File the certificate of calibration and relevant documents as part of the equipment’s calibration history records. ▪▪ Place the equipment in the calibrated equipment storage cabinet if it is not required for immediate use. 4 ▪▪ Notify the owner department if applicable. External calibration company supplier survey/audits: Accreditation by a recognized body, for exam- ple, the International Laboratory Accreditation Cooperation, may be accepted in lieu of an audit; if an audit is not deemed necessary, a copy of the current certificate of accreditation will be maintained in the supplier audit file. 7 Records Document Location Duration of Responsibility record Equipment master and history list Calibration Department Indefinitely Calibration coordinator Calibration program/schedule Calibration Department Three years Calibration coordinator Equipment calibration report Calibration Department Three years Calibration coordinator Equipment calibration certificate Calibration Department Indefinitely Calibration coordinator Classification Company Confidential Calibration Procedure Doc ID: SOP-022 Printed: Controller: Document Controller Page 12 of 12 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 322  ▪  FOOD SAFETY HANDBOOK PRODUCT RECALL AND WITHDRAWAL An FBO Procedure Document No. Standard operating procedure SOP-023 Created April 20, 2018 Updated January 13, 2019 Controller Document Controller Owner Food Safety Manager Confidentiality Statement Information in this document must be kept confidential as per the document’s classification below and the rules of disclosure. All FBO documents are classified in the following way. PUBLIC documents are intended for anyone. COMMER- CIAL IN CONFIDENCE documents are to be kept confidential among restricted individuals within the FBO and partner organizations. COMPANY CONFIDENTIAL documents are to be kept confidential within the FBO and used for normal business activities by the general office population. HIGHLY CONFIDENTIAL documents are to be kept confidential among restricted individuals within the FBO. © Copyright FBO. All rights reserved. No part of this publication may be reproduced, stored in a retrieval system, or transmitted in any form or by any means, electronic, mechanical, photocopying, recording, or otherwise, without the written permission of the FBO. Classification Company Confidential Revision History Date Version Author Comments (including review history) 4 April 20, 2018 Draft 01 Joe Bloggs Initial document for review and discussion CHAPTER April 24, 2018 V1.0 Joe Bloggs Approved and released by process owner January 13, 2019 V1.1 Joe Bloggs Updated terms and definitions in accordance with Interna- tional Organization for Standardization (ISO) 22000:2018, for example Contents 1 Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 323 6.3 Communicating the Decision to Recall 2 Related Documents. . . . . . . . . . . . . . . . . . . . . . . 323 or Withdraw������������������������������������������������ 325 6.4 Actions in the FBO Factory . . . . . . . . . . . . 326 3 Definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 323 6.5 Actions in FBO Distribution/Logistics . . . 326 4 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 324 6.6 Actions in Trade. . . . . . . . . . . . . . . . . . . . . . 326 5 Procedure Flowchart. . . . . . . . . . . . . . . . . . . . . . 324 6.7 Return Transport. . . . . . . . . . . . . . . . . . . . . 327 6 Procedure Notes. . . . . . . . . . . . . . . . . . . . . . . . . . 325 6.8 Handling of the Returned Product . . . . . . 327 6.1 Data Collection and Management. . . . . . 325 6.9 Postreview Action Review . . . . . . . . . . . . . 327 6.2 Decision to Recall or Withdraw. . . . . . . . . 325 6.10 Postreview Action Exercises. . . . . . . . . . . . 327 7 Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 327 Classification Company Confidential Product Recall and Withdrawal Procedure Doc ID: SOP-023 Printed: Controller: Document Controller Page 1 of 6 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Product Recall and Withdrawal   ▪    323 Product Recall and Withdrawal 1 Summary Purpose The purpose of this procedure is to describe the process for effectively removing a product from the external supply chain/distribution. ­ Scope This instruction covers all products manufactured or distributed by the food business operator (FBO). Local regulations and laws take precedence over this guideline. Functional The functional responsibility for this procedure lies with the food safety man- responsibility ager, who is responsible for the effective implementation and maintenance of this procedure. 2 Related Documents Policies Food Safety Policy, POL-001 Customer/Consumer Complaints Policy, POL-002 Processes Departmental process descriptions Procedures Control of Nonconforming Product, SOP-003 Mock Recall, SOP-008 Correction and Corrective Action, SOP-009 Communication, SOP-020 Crisis Management, SOP-029 CHAPTER Work instructions Not applicable Forms Recall/withdrawal log Communication log Root cause analysis/corrective action Other Not applicable 4 3 Definitions Term or acronym Description Complaint An expression of dissatisfaction communicated to an organization in relation to the organization’s products or services or the complaints-handling pro- cess, during which a response or resolution is explicitly or implicitly expected Correction Action to eliminate a detected nonconformity Corrective action Action to eliminate the cause of a nonconformity and to prevent recurrence FBO food business operator FSMS food safety management system Nonconformity Nonfulfillment of a requirement Classification Company Confidential Product Recall and Withdrawal Procedure Doc ID: SOP-023 Printed: Controller: Document Controller Page 2 of 6 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 324  ▪  FOOD SAFETY HANDBOOK Product Recall and Withdrawal Term or acronym Description Product Output that is a result of activities none of which is necessarily performed at the interface between the provider and the customer; for the food business operator (FBO), this may be an ingredient, raw material, intermediate prod- uct, or finished product supplied to a customer or consumer Recall The process by which a product is removed from the external supply chain/ distribution and consumers are publicly advised to take specific actions with the product, for example, to not consume the product, or to return the product to the shop or manufacturer; this includes the U.S. Food and Drug Administration (FDA) class I and class II recalls Regulatory Obligatory requirement specified by an authority mandated by a legislative requirement body Risk The effect of uncertainty on an expected result Root cause A cause that, once removed from the problem fault sequence, prevents the final undesirable event from recurring Root cause analysis A method of problem solving that involves an attempt to identify the root cause of faults or problems Statutory requirement Obligatory requirement specified by a legislative body Update Immediate or planned activity to ensure application of the most recent information Withdrawal The process by which a product is removed from the external supply chain/ distribution, but which does not require any action by the consumer 4 CHAPTER 4 Introduction Even within the most well-managed food businesses, an issue involving the safety and suitability of a food may occur. This may be the result, for example, of a packaging defect, a product formulation error, a manufacturing or storage problem, or a problem with the food ingredients. It is important that food business operators (FBOs) be aware that food safety issues can become associated with their products and therefore recognize that there is a need to plan ahead. European Union (EU) food law requires that all FBOs be able to trace the food they receive back to the immediate supplier of the food. Then, following food handling, preparation, or processing, FBOs must be able to track the distribution of food forward from their own business to their immediate customer. FBOs are also required to withdraw unsafe food from the market after it has left their immediate control. If it has reached consumers, FBOs must inform consumers of the reason for the removal of the food from the market and, if necessary, recall the food. FBOs should therefore develop documented food traceability and food recall/withdrawal systems and integrate these into their food safety management systems (FSMSs). 5 Procedure Flowchart Not applicable. Classification Company Confidential Product Recall and Withdrawal Procedure Doc ID: SOP-023 Printed: Controller: Document Controller Page 3 of 6 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Product Recall and Withdrawal   ▪    325 Product Recall and Withdrawal 6 Procedure Notes 6.1 Data Collection and Management The food safety team ▪▪ Gathers all necessary information, facts, and data to enable a conscious decision to confirm the validity of the claim and proceed to a withdrawal or recall ▪▪ Informs regulatory authorities according to crisis management rules and local regulations ▪▪ Defines the communication with employees, the sales force, customers or ­ consumers, and other stakeholders ▪▪ Determines subsequent steps involving the removed products ▪▪ Considers all other elements that might affect the FBO 6.2 Decision to Recall or Withdraw The decision to recall or withdraw is taken by the food safety manager. The decision-making pro- cess is carried out according to crisis management procedures and takes into account especially the following: ▪▪ The situation and actions to be undertaken in markets where the same material is commercialized (intermarket supply) ▪▪ Foreign markets must be examined in making decisions or approving decisions; CHAPTER specific guidelines may apply 6.3 Communicating the Decision to Recall or Withdraw Communication is critical to the success of a recall as well as to the image of brands. Communication is based on the following: 4 ▪▪ The position statement prepared by the food safety team and the FBO public relations/legal advisor recalling a product ­ ▪▪ Questions and answers to be used by consumer services The media used for communication must be adequate to reach the potential consumers of the product to be recalled. Communication must be simple and factual: ▪▪ Why are we recalling the product? ▪▪ What are we recalling? ▪▪ What do we do as an FBO to eliminate the defect and put the product back on the market? ▪▪ What is our refund policy? The same principles must be applied for communication with other stakeholders (employees, custom- ers, authorities, and so on). Classification Company Confidential Product Recall and Withdrawal Procedure Doc ID: SOP-023 Printed: Controller: Document Controller Page 4 of 6 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 326  ▪  FOOD SAFETY HANDBOOK Product Recall and Withdrawal 6.4 Actions in the FBO Factory The factory provides the traceability data necessary to define the material and the quantities to be removed from the entire supply chain/distribution. All affected batches must be restricted in the FBO computer system. The accuracy of the traceability system must be considered, and a safety margin on either side of the concerned batch must be added if necessary. The incident must be investigated, the root cause analyzed, and corrective actions taken. 6.5 Actions in FBO Distribution/Logistics Upon receiving instructions to block a particular product quantity, the warehouse staff must immedi- ately remove the product from assembled loads in the warehouse. The blocked stock must be physi- cally marked and segregated. If advised by the food safety team, distribution will coordinate urgent material pickups from identi- fied warehouses and stores if necessary. The material received back must be registered in the FBO computer system with the status indicated as blocked as with all returned material. On request, warehouse personnel can check and sort the suspected stock. The food safety manager provides instructions on how to examine the product and gather adequate resources (training, spe- cialists, and so on). 4 A detailed report must be prepared on the fate of the recalled batches. Other goods must be included if CHAPTER relevant (for example, nonrecalled goods, other FBO products, or even the products of competitors). 6.6 Actions in Trade The food safety team establishes clear instructions for shops and retailers on how to proceed with the affected material. Materials in warehouses must be blocked and physically marked and a pickup schedule agreed with FBO distribution. Materials in shops (supermarket shelves or back-room storage) must be removed from shelves, blocked, physically marked, and placed in back-room storage to await pickup or destruction (as agreed between the FBO and the retailer). Sales or merchandising staff may be called to assist as needed. The retailer will communicate the actual quantities to be picked up to facilitate transport. The mate- rial must be returned as soon as possible to the FBO or to dedicated warehouses. Disposal at customer sites is possible if there is mutual agreement about what is to be disposed. The method of disposal must be defined and properly documented. Classification Company Confidential Product Recall and Withdrawal Procedure Doc ID: SOP-023 Printed: Controller: Document Controller Page 5 of 6 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Product Recall and Withdrawal   ▪    327 Product Recall and Withdrawal 6.7 Return Transport The return transport of affected material requires special attention and appropriate organization. This must be accomplished without delay. 6.8 Handling of the Returned Product The returned product must be controlled, registered, marked, and segregated from normal stocks. Precise inventories must be kept. Regulatory authorities may have additional requirements on records and information. The returned product must be handled as a nonconforming product; the rules for responsible destruc- tion or disposal must be followed. In line with the FBO accounting procedure, all costs related to recalls and withdrawals must be charged to production-related overhead, not to bad products. 6.9 Postreview Action Review A postreview action review must be conducted when the incident is over and potential improvements implemented. At a minimum, an analysis of the quantities of the materials involved must be carried out (product produced, sold, returned, destroyed, and not accounted for or consumed). CHAPTER 6.10 Postreview Action Exercises Recalls and withdrawals must be practiced. An annual mock recall exercise is mandatory (see the Mock Recall Procedure). A postreview action on a real case cannot be considered a substitute for a mock recall. An actual recall is not the occasion to test the FBO recall/traceability system. 4 7 Records Document Location Duration of record Responsibility Recall/withdrawal log Food Safety Office Indefinitely Food safety manager Communication records Food Safety Office Indefinitely Food safety manager Root cause analysis Food Safety Office Indefinitely Food safety manager Recall/withdrawal report Food Safety Office Indefinitely Food safety manager Postreview minutes Food Safety Office Indefinitely Food safety manager Classification Company Confidential Product Recall and Withdrawal Procedure Doc ID: SOP-023 Printed: Controller: Document Controller Page 6 of 6 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 328  ▪  FOOD SAFETY HANDBOOK FOOD DEFENSE An FBO Procedure Document No. Standard operating procedure SOP-044 Created April 20, 2018 Updated January 13, 2019 Controller Document Controller Owner Food Safety Manager Confidentiality Statement Information in this document must be kept confidential as per the document’s classification below and the rules of disclosure. All FBO documents are classified in the following way. PUBLIC documents are intended for anyone. COMMER- CIAL IN CONFIDENCE documents are to be kept confidential among restricted individuals within the FBO and partner organizations. COMPANY CONFIDENTIAL documents are to be kept confidential within the FBO and used for normal business activities by the general office population. HIGHLY CONFIDENTIAL documents are to be kept confidential among restricted individuals within the FBO. © Copyright FBO. All rights reserved. No part of this publication may be reproduced, stored in a retrieval system, or transmitted in any form or by any means, electronic, mechanical, photocopying, recording, or otherwise, without the written permission of the FBO. Classification Company Confidential Revision History Date Version Author Comments (including review history) 4 April 20, 2018 V1.0 Joe Bloggs Original draft CHAPTER April 24, 2018 V1.1 Joe Bloggs Approved for release by process owner January 13, 2019 V1.2 Joe Bloggs Introduction of TACCP/VACCP assessments and templates Contents 1 Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 329 6.2 Inside Security Measures . . . . . . . . . . . . . . 332 2 Related Documents. . . . . . . . . . . . . . . . . . . . . . . 329 6.3 Personnel Security Measures. . . . . . . . . . . 333 3 Definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 329 6.4 Incident Response Security Measures. . . 334 6.5 Outside Security Tools . . . . . . . . . . . . . . . . 335 4 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . 330 6.6 Inside Security Tools . . . . . . . . . . . . . . . . . . 336 5 Procedure Flowchart. . . . . . . . . . . . . . . . . . . . . . 331 6.7 Personnel Security Tools. . . . . . . . . . . . . . . 337 6 Procedure Notes. . . . . . . . . . . . . . . . . . . . . . . . . . 331 6.8 Incident Response Tool. . . . . . . . . . . . . . . . 337 6.1 Outside Security Measures . . . . . . . . . . . . 331 7 Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 338 Classification Company Confidential Food Defense Procedure Doc ID: SOP-044 Printed: Controller: Document Controller Page 1 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Food Defense   ▪    329 Food Defense 1 Summary Purpose The purpose of this procedure is to document the measures taken by the food business operator (FBO) to protect food and the food production pro- cess from intentional harm. Scope This procedure is applicable to products, processes, storage and production environments, and suppliers across the food chain of the FBO. It addresses the risks to the people, products, assets, and brand of the FBO. Functional The functional responsibility for this procedure lies with the food safety man- responsibility ager, who is responsible for the effective implementation and maintenance of this procedure. 2 Related Documents Policies Food Safety Policy, POL-001 Processes Food Safety, PRO-001 Procedures Control of Documents, SOP-001 Traceability, SOP-012 Work instructions Not applicable Forms Master document register Other Document management system (DMS) CHAPTER Food defense plan review form 3 Definitions Term or acronym Description Electronic security Procedures implemented to protect electronic systems from sources of 4 threat, such as malware and hackers, intent on misusing the systems, corrupting them, or putting them out of use ­ FBO food business operator Food defense Security of food and drink and their supply chains from all forms of malicious attack, including ideologically motivated attack, leading to contamination or supply failure Food supply Any and all elements of the food supply chain, network, or web, including drink and support services and allied services Personnel security Procedures used to confirm an individual’s identity, qualifications, experi- ence, and right to work; the procedures are also used to monitor the conduct of employees or contractors Product security Techniques used to make food products resistant to contamination or ­ isuse, including tamper-evident closures and lot marking m Classification Company Confidential Food Defense Procedure Doc ID: SOP-044 Printed: Controller: Document Controller Page 2 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 330  ▪  FOOD SAFETY HANDBOOK Food Defense Term or acronym Description Protective security All the measures related to physical, electronic, and personnel security that any organization takes to minimize the threat of malicious attack TACCP Threat assessment critical control point; the systematic management of risks through the assessment of threats, the identification of vulnerabilities, and the implementation of controls on raw materials, packaging, finished products, processes, premises, distribution networks, and business systems by a knowledgeable and trusted team with the authority to implement changes to procedures VACCP Vulnerability assessment critical control point; a management process to defend a food supply chain from any form of dishonest conduct that impacts detrimentally on the quality or authenticity of food and drink 4 Introduction Multinational organizations are driving the need for suppliers globally to institute food defense pro- grams, thereby minimizing the risk of intentional contamination and tampering. If suppliers work with or want to work with a multinational company, they will probably be required to develop a food defense plan. A food defense plan builds on existing food safety plans, hazard analysis critical control point (HACCP) plans, and crisis management plans and incorporates audits of the security of premises, shipping and receiving, and personnel to help ensure safe and secure food supplies. Risks can originate from various sources—internal (employees, temporary workers, cleaning staff, and so on) or external (visitors, delivery personnel, suppliers, terrorist groups, activists, and so on). 4 Malicious acts may originate outside, but the scope of the identification of risks must be understood in a broader sense. Internal risks should not be overlooked: 70 percent to 80 percent derive from CHAPTER staff—disgruntled employees, for example. The risks can take many forms: fraud, vandalism, sabo- tage, terrorist acts, theft, blackmail, and so on. The probability is high, and such occurrences have a relatively strong impact on business. The scope of food defense can be represented as shown in the figure below. Raw materials ▪ Ingredients ▪ Packaging material Perimeter ▪ Water Tra Employees/visitors ns po rta tio n Plant Traceability Process Traceability Plant contractors/services Tra ▪ Pest control ns po ▪ Cleaning and sanitation Control authorized rta tio ▪ Maintenance entry n ▪ Temporary workers ▪ Construction workers Prevent unauthorized Finished product entry Classification Company Confidential Food Defense Procedure Doc ID: SOP-044 Printed: Controller: Document Controller Page 3 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Food Defense   ▪    331 Food Defense 5 Procedure Flowchart Not applicable. 6 Procedure Notes The food safety manager/management representative should establish a cross-functional team to conduct a threat assessment critical control point (TACCP)–vulnerability assessment critical control point (VACCP) plan for the organization. Where appropriate, external experts may be used to facil- itate the process. All participants should receive relevant training on TACCP/VACCP based on publicly available spec- ification PAS 99:2012 of the British Standards Institution or training providers approved by the U.S. Food and Drug Administration (FDA). For the TACCP, the TACCP team should undertake the following: (1) document a TACCP stan- dard operating procedure (SOP); (2) identify points in the food supply chain at which threats are possible against staff, operations, and products; (3) conduct assessments of the critical points to identify risks using a TACCP template that is similar to the TACCP template provided in the food safety training kit; (4) analyze the risks, establish appropriate threat controls, and continue to monitor the control points; (5) create action plans in anticipation of the possible breach of controls; and (6) continue to improve the TACCP process by reviewing documentation and antic- ipating new threats, including through a robust internal and external review of industry sector threats. CHAPTER For the VACCP, the VACCP team should undertake the following: (1) assess the possibility of food fraud in the supply chain using a VACCP template that is similar to the VACCP template provided in the food safety training kit; (2) determine the point in the supply chain at which fraud can become an economic incentive; (3) check the measures being used to control food fraud; (4) create action plans in anticipation of a possible breach of controls; (5) continue to improve the VACCP process by reviewing documentation and anticipating new possibilities of food fraud, including a robust internal and external review of industry sector food fraud vulnerabilities. 4 Both the TACCP and the VACCP should be reviewed formally at least once a year. The sample food defense plan below is organized into four sections, as follows: (1) outside security measures, (2) inside security measures, (3) personnel security measures, and (4) incident response security measures. The plan should include both the TACCP and VACCP assessments and related documentation. 6.1 Outside Security Measures (Examples: door locks, lighting, the monitoring of loading and unloading) GOAL: To prevent unauthorized access to the facility by people with unapproved materials Classification Company Confidential Food Defense Procedure Doc ID: SOP-044 Printed: Controller: Document Controller Page 4 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 332  ▪  FOOD SAFETY HANDBOOK Food Defense The FBO has implemented at least one of the following sets of measures to establish outside security. PHYSICAL SECURITY ▪▪ Manufacturing plant boundaries are clear and secured to prevent unauthorized entry (for example, fences installed, “No Trespassing” signs posted). ▪▪ Entrances are secured (for example, locks and alarms are installed and operating). ▪▪ The plant perimeter is periodically monitored for suspicious activity. ▪▪ Outside lighting is present to deter unauthorized activities. ▪▪ Other access points such as windows and vents are secured. ▪▪ Outside storage on the premises is protected from unauthorized access. ▪▪ Other________________________________________________________________ SHIPPING/RECEIVING SECURITY ▪▪ Incoming shipments are examined for potential tampering. ▪▪ Incoming and outgoing vehicles are examined for suspicious activity. ▪▪ Loading and unloading are scheduled and monitored. ▪▪ Loading dock access is controlled (for example, monitored or locked). ▪▪ Incoming shipments are secured with locks or seals. ▪▪ Outgoing shipments are locked or sealed. ▪▪ Other________________________________________________________________ MAIL HANDLING SECURITY 4 ▪▪ Mail is handled away from food, including ingredients and packaged food products. ▪▪ Employees who handle mail are aware of the proper handling of suspicious mail CHAPTER and U.S. Postal Service guidelines. ▪▪ Other________________________________________________________________ 6.2 Inside Security Measures (Examples: signs, observation, restricted access) GOAL: To protect products from intentional contamination throughout the production process The FBO has in place at least one of the following sets of measures for inside security. GENERAL INSIDE SECURITY ▪▪ Suspicious packages are reported to appropriate personnel. ▪▪ Restricted areas of the establishment are clearly identified. ▪▪ Previously unattached materials are checked before use. ▪▪ Unexpected changes in inventory (product or equipment) are reported to ­appropriate personnel. ▪▪ Emergency lighting is in place. ▪▪ An emergency alert system is identifiable, tested, and reviewed with emergency contacts (for example, police or fire personnel). ▪▪ Other__________________________________________________________________ Classification Company Confidential Food Defense Procedure Doc ID: SOP-044 Printed: Controller: Document Controller Page 5 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Food Defense   ▪    333 Food Defense PROCESSING  AREA SECURITY ▪▪ Access to ingredients and packaged products is restricted. ▪▪ Access to process control equipment, such as ovens and mixers, is restricted. ▪▪ Ingredients are examined for possible tampering. ▪▪ Records ensure traceability one step backward, one step forward, or both. ▪▪ Other__________________________________________________________________ STORAGE SECURITY ▪▪ Access to storage areas is restricted. ▪▪ Stock rotation (first in, first out) is practiced. ▪▪ Labels and packaging materials are controlled to prevent theft and misuse. ▪▪ Periodic examinations for tampering of materials in storage are preformed. ▪▪ Other__________________________________________________________________ INGREDIENTS/WATER/ICE SECURITY ▪▪ Access is restricted to storage tanks for potable water and to the water reuse system. ▪▪ Access to lines that transfer water or ingredients is examined and restricted. ▪▪ Access to plant ice-making equipment is controlled. ▪▪ Restricted ingredients (for examples, nitrates) are controlled. ▪▪ Supplier food safety/security information is requested. ▪▪ Other__________________________________________________________________ CHAPTER CHEMICAL/HAZARDOUS MATERIAL CONTROL SECURITY ▪▪ Chemicals/hazardous materials, including pesticides, cleaning or laboratory materials, and sanitizers, are in a restricted area or secured by a lock. ­ ▪▪ An up-to-date inventory of hazardous materials and chemicals is maintained, and discrepancies are investigated. 4 ▪▪ Potential hazardous waste (biological or chemical) is controlled and disposed of properly. ▪▪ Other__________________________________________________________________ INFORMATION SECURITY ▪▪ Access to sensitive information, such as site plans and processing details, is controlled. ▪▪ Access to computer systems is protected through firewalls and passwords. ▪▪ Other__________________________________________________________________ 6.3 Personnel Security Measures (Examples: check references, use visitor log or sign-in, or check IDs) GOAL: To ensure that only authorized personnel are in the facility at any time Classification Company Confidential Food Defense Procedure Doc ID: SOP-044 Printed: Controller: Document Controller Page 6 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 334  ▪  FOOD SAFETY HANDBOOK Food Defense The FBO has in place at least one of the following sets of measures for personnel security. EMPLOYEE SECURITY ▪▪ A method to recognize or identify employees in the facility is implemented. ▪▪ Background or reference checks are conducted on new hires. ▪▪ Employees are restricted in what they can bring in or take from the facility (for example, cameras). ▪▪ Other________________________________________________________________ NONEMPLOYEE SECURITY (EXAMPLE: VISITORS, CONTRACTORS, GUESTS, ­CUSTOMERS, TRUCK DRIVERS) ▪▪ A log is maintained of nonemployees and persons working for or on behalf of the FBO who enter the establishment. ▪▪ A method to recognize or identify nonemployees and persons working for or on behalf of the FBO in the establishment is in place. ▪▪ Nonemployees and persons working for or on behalf of the FBO are chaperoned on-site. ▪▪ Nonemployees and persons working for or on behalf of the FBO are restricted to appropriate areas. ▪▪ Nonemployees and persons working for or on behalf of the FBO are restricted on what they can bring in or take from the facility. ▪▪ Other________________________________________________________________ SECURITY TRAINING 4 ▪▪ Awareness training on security measures is provided to new employees and persons CHAPTER working for or on behalf of the FBO. ▪▪ Periodic refresher awareness training on security measures is offered to employees and persons working for or on behalf of the FBO. ▪▪ Employees or persons working for or on behalf of the FBO are trained to report suspicious activities or unusual behavior they have noticed. ▪▪ Other________________________________________________________________ 6.4 Incident Response Security Measures (Examples: reference the emergency plan, security plan, or other) GOAL: To respond quickly to a product contamination threat or event using planned measures The FBO has in place at least one of the following sets of measures for incident response security. INVESTIGATING A SECURITY CONCERN ▪▪ Procedures have been established to ensure that adulterated or potentially harmful products are held. ▪▪ Customer/consumer comments are investigated. ▪▪ Reporting on unusual activities is encouraged. ▪▪ Information is available to employees on how to respond to phone or other threats. Classification Company Confidential Food Defense Procedure Doc ID: SOP-044 Printed: Controller: Document Controller Page 7 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Food Defense   ▪    335 Food Defense ▪▪ Employees have the ability to stop activities to minimize a potential food defense incident. ▪▪ Reported security breaches (for example, alarms, suspicion of tampering) are investigated. ▪▪ Other________________________________________________________________ EMERGENCY CONTACT SECURITY ▪▪ Plant personnel contact information is kept up-to-date. ▪▪ Emergency contact information is kept up-to-date. ▪▪ Other________________________________________________________________ OTHER PLAN SECURITY ▪▪ A product recall plan is maintained and periodically reviewed. ▪▪ Key personnel are trained in product recall/withdrawal procedures. ▪▪ Other________________________________________________________________ 6.5 Outside Security Tools Below is a list of tools or additional security measures. These are provided to assist in tailoring the plan to meet the specific needs of the FBO. PHYSICAL SECURITY TOOLS ▪▪ Ensure proper lighting to monitor the establishment outdoors at night and in the CHAPTER early morning. ▪▪ Install self-locking doors or alarms at emergency exits. ▪▪ Ensure the following are secured with locks, seals, or sensors when unattended (after hours/weekends) to prevent unauthorized entry: • Outside doors and gates • Tanker truck hatches • Windows • Railcars 4 • Roof openings • Bulk storage tanks/silos • Vent openings • Loading ports • Trailer (truck) bodies • Hose/pump stations ▪▪ Regularly conduct and document security inspections of storage facilities, including temporary storage vehicles. ▪▪ Restrict outdoor access to water wells and other water sources. SHIPPING/RECEIVING SECURITY ▪▪ Closely monitor the loading and unloading of vehicles transporting raw materials, finished products, or other materials used in food processing. ▪▪ Inspect tanker trucks and railcars to detect the presence of any material, solid or liquid, in tanks prior to loading liquid products. Load only if appropriate. Report/ record the results. ▪▪ Control access to loading docks to avoid unverified or unauthorized deliveries. ▪▪ Require advance notification from suppliers for all deliveries. Classification Company Confidential Food Defense Procedure Doc ID: SOP-044 Printed: Controller: Document Controller Page 8 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 336  ▪  FOOD SAFETY HANDBOOK Food Defense ▪▪ Immediately investigate suspicious changes in shipping documents. ▪▪ Check all deliveries outside establishment premises pending verification. ▪▪ If off-hour delivery is accepted, require prior notice of the delivery and an authorized person to be present to verify and receive the delivery. ­ ▪▪ Check less-than-truckload or partial-load shipments for content and condition. ▪▪ Require incoming shipments of raw product, ingredients, and finished products to be sealed with tamper-evident or numbered, documented seals and verify the seals prior to entry. Reject if the seal is broken or missing. ▪▪ Select transportation companies and suppliers on the basis of consideration of the security measures that they use. ▪▪ Examine returned goods at a separate location for evidence of tampering before salvage or use in rework. ▪▪ Maintain records of the disposal of returned goods. ▪▪ Require drivers or delivery personnel to provide identification, preferably with a photo ID. Record names. ▪▪ Minimize the time a truck is unlocked during loading or delivery. 6.6 Inside Security Tools GENERAL INSIDE SECURITY ▪▪ Install and monitor security cameras. ▪▪ Increase visibility within the establishment (for example, improve lighting, 4 openness, increase supervision, add cameras). ▪▪ Regularly take inventory of the keys to secured/sensitive areas of the establishment. CHAPTER ▪▪ Restrict access to controls (by locked door/gate or limiting access to designated employees) for the following systems: • Heating, ventilation, and air conditioning • Propane, natural gas, water, and electricity • Disinfection systems • Clean-in-place systems or other centralized chemical systems PROCESSING  AREA SECURITY ▪▪ Maintain records to allow efficient traceability backward or forward of materials and finished products. ▪▪ Reduce the time an area is left unmonitored. ▪▪ Reduce access to product containers or processing equipment. ▪▪ Do not allow unnecessary personal items within the production area. STORAGE SECURITY ▪▪ Maintain an access log for product and ingredient storage areas. ▪▪ Regularly check the inventory of finished products for unexplained additions and withdrawals from existing stock. ▪▪ Restrict access to external storage facilities to designated employees only. Classification Company Confidential Food Defense Procedure Doc ID: SOP-044 Printed: Controller: Document Controller Page 9 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Food Defense   ▪    337 Food Defense INGREDIENTS/WATER/ICE SECURITY ▪▪ Before they are used, examine packages of ingredients for evidence of tampering. ▪▪ Restrict access to product, ingredient, and packaging storage areas to designated employees only (for example, by lock or gate). ▪▪ Ensure that water is from a municipally or local authority controlled source. ▪▪ Inspect water lines for possible tampering (perform visual inspection of the integrity of infrastructure, proper connections). ­ ▪▪ Make arrangements with local health officials to ensure immediate notification of the establishment if the potability of the public water supply is compromised. CHEMICAL/HAZARDOUS MATERIAL CONTROL ▪▪ Restrict access to the in-plant laboratory. ▪▪ Have procedures in place to control the receipt of samples. ▪▪ Have a procedure in place to receive, securely store, and dispose of reagents. INFORMATION SECURITY ▪▪ Track customer and consumer complaints/comments for trends. ▪▪ Keep details of food defense procedures confidential, as necessary. ▪▪ Have up-to-date establishment layout/blueprint/drawings for local law enforce- ment, including the fire department. 6.7 Personnel Security Tools CHAPTER ▪▪ Authorize appropriate employees and persons working for or on behalf of the FBO to stop a process on which there are significant concerns. ▪▪ Control the access of employees, nonemployees, and persons working for or on behalf of the FBO to the FBO establishment during working and nonworking hours (use coded doors, receptionist on duty, swipe cards). 4 ▪▪ Restrict temporary employees, nonemployees, and persons working for or on behalf of the FBO to areas relevant to their work. ▪▪ Implement systems to associate personnel with their specific functions, assign- ments, or departments (for example, corresponding colored uniforms or hair covering). ▪▪ Prohibit employees from removing company-provided uniforms or protective gear from the premises. ▪▪ Maintain an up-to-date shift roster for each shift. 6.8 Incident Response Tool ▪▪ Establish evacuation procedures and include them in the food defense plan. ▪▪ Establish procedures for responding to threats as well as actual product ­contamination events. ▪▪ Preestablish communication with local, state, and federal incident response ­ personnel to foster more efficient response. Classification Company Confidential Food Defense Procedure Doc ID: SOP-044 Printed: Controller: Document Controller Page 10 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 338  ▪  FOOD SAFETY HANDBOOK Food Defense FBO Food Defense Plan Review Form Complete this form to document the annual review of the food defense plan. Not all measures are required or need to be reviewed each time this form is completed. Date of annual review Person who conducted annual Was the food defense plan review (name and title) tested?a (yes/no) 4 CHAPTER a. Testing can be carried out using simple measures, such as checking locked doors or making u ­ nannounced perimeter checks. 7 Records Document Location Duration of record Responsibility Food defense plan review record Food Safety Office Indefinitely Food safety manager Classification Company Confidential Food Defense Procedure Doc ID: SOP-044 Printed: Controller: Document Controller Page 11 of 11 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Food Fraud and Vulnerability   ▪    339 FOOD FRAUD AND VULNERABILITY An FBO Procedure Document No. Standard operating procedure SOP-046 Created April 20, 2018 Updated January 13, 2019 Controller Document Controller Owner Food Safety Manager Confidentiality Statement Information in this document must be kept confidential as per the document’s classification below and the rules of disclosure. All FBO documents are classified in the following way. PUBLIC documents are intended for anyone. COMMER- CIAL IN CONFIDENCE documents are to be kept confidential among restricted individuals within the FBO and partner organizations. COMPANY CONFIDENTIAL documents are to be kept confidential within the FBO and used for normal business activities by the general office population. HIGHLY CONFIDENTIAL documents are to be kept confidential among restricted individuals within the FBO. © Copyright FBO. All rights reserved. No part of this publication may be reproduced, stored in a retrieval system, or transmitted in any form or by any means, electronic, mechanical, photocopying, recording, or otherwise, without the written permission of the FBO. Classification Company Confidential Revision History Date Version Author Comments (including review history) CHAPTER April 20, 2018 V1.0 Joe Bloggs Original draft January 13, 2019 V1.1 Joe Bloggs Introduction of vulnerability assessment critical control point (VACCP) assessments and templates Contents 4 1 Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 340 6.3 Consider Food Threats and 2 Related Documents. . . . . . . . . . . . . . . . . . . . . . 340 Vulnerabilities ��������������������������������������������343 6.4 Score the Likelihood and Consequences. . 343 3 Definitions. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 340 6.5 Describe the Current Control Measures. . . 344 4 Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 341 6.6 Create Strategies and Actions to 5 Procedure Flowchart. . . . . . . . . . . . . . . . . . . . . . 342 Mitigate in the Event of a Breach ������������345 6 Procedure Notes. . . . . . . . . . . . . . . . . . . . . . . . . . 342 6.7 Verify Effectiveness and Strategies to 6.1 The VACCP Team . . . . . . . . . . . . . . . . . . . . . 342 Mitigate Vulnerabilities in the Event of a 6.2 Consider the Food Supply Chain and Breach����������������������������������������������������������345 the Chain of Custody����������������������������������343 7 Records. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 345 Classification Company Confidential Food Fraud and Vulnerability Procedure Doc ID: SOP-046 Printed: Controller: Document Controller Page 1 of 7 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 340  ▪  FOOD SAFETY HANDBOOK Food Fraud and Vulnerability 1 Summary Purpose The purpose of this procedure is to document the measures taken by the food business operator (FBO) to protect food and the food production pro- cesses from intentional harm. Scope This procedure is applicable to products, processes, storage and produc- tion environments, and suppliers across the food chain of the FBO. It also addresses the risks to the people, products, assets, and the brand of the FBO. Functional The functional responsibility for this procedure lies with the food safety man- responsibility ager, who is responsible for the effective implementation and maintenance of the procedure. 2 Related Documents Policies Food Safety Policy, POL-001 Process Food Safety, PRO-001 Procedures Control of Documents, SOP-001 Traceability, SOP-012 Food Defense, SOP-044 Work instructions Not applicable Forms Master document register 4 Other Document management system (DMS) Food fraud and vulnerability assessment tool, vulnerability assessment CHAPTER ­ critical control point (VACCP) 3 Definitions Term or acronym Description Economically moti- The U.S. Food and Drug Administration’s (FDA’s) working definition of vated adulteration ­ economically motivated adulteration is the fraudulent, intentional substitu- tion or addition of a substance in a product for the purpose of increasing the apparent value of the product or reducing the cost of the production of the product, that is, for economic gain Electronic security Procedures implemented to protect electronic systems from sources of threat, such as malware and hackers, intent on misusing the systems, corrupting them, or putting them out of use ­ FBO food business operator Food defense Security of food and drink and their supply chains from all forms of malicious attack, including ideologically motivated attack, leading to contamination or supply failure Classification Company Confidential Food Fraud and Vulnerability Procedure Doc ID: SOP-046 Printed: Controller: Document Controller Page 2 of 7 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Food Fraud and Vulnerability   ▪    341 Food Fraud and Vulnerability Term or acronym Description Food fraud Any act whereby food is deliberately placed on the market for financial gain, with the intention of deceiving the consumer; although there are many kinds of food fraud, the two main types are as follows: (1) the sale of food that is unfit and potentially harmful, such as the recycling of animal by-products back into the food chain; packing and selling beef or poultry of unknown origin; knowingly selling goods that are past the use by date; and (2) the deliberate misdescription of food, such as products substituted with cheaper alternatives, for example, farmed salmon sold as wild salmon or basmati rice adulterated with cheaper varieties, or making false statements about the source of ingredients, that is, the geographical, plant, or animal origin. Food fraud may also involve the sale of meat from animals that have been stolen or illegally slaughtered, as well as wild game animals, such as deer, that have been poached. Food supply Any and all elements of the food supply chain, network, or web, including drink and support services and allied services Personnel security Procedures used to confirm an individual’s identity, qualifications, experi- ence, and right to work; the procedures are also used to monitor the conduct of employees or contractors Product security Techniques used to make food products resistant to contamination or misuse, including tamper-evident closures and lot marking ­ Protective security All the measures related to physical, electronic, and personnel security that any organization takes to minimize the threat of malicious attack VACCP Vulnerability assessment critical control point: a management process to CHAPTER defend a food supply chain from any form of dishonest conduct that impacts detrimentally on the quality or authenticity of food and drink 4 Introduction Food fraud is a crime and an emerging risk, given the complexity of global food supply chains. It 4 is estimated to cost the food and drink industry up to €50 billion a year. It also has the potential to become a major food safety issue. An extreme example of this is fake alcohol. Fraudulent booze can contain substitutes for ethanol, including chemicals used in cleaning fluids and automobile windshield cleaner, as well as methanol and isopropanol, which are used in antifreeze and some fuels. Drinking alcohol containing these chemicals can lead to serious health problems. In recent years, high-profile international food fraud has harmed and even killed many innocent people. The challenges associated with food fraud are (1) defining the nature of food fraud, (2) treating food fraud as a criminal activity, (3) forging closer cooperation and partnerships to combat food fraud, and (4) predicting the likelihood of food fraud more accurately. This procedure outlines how food business operators (FBOs) may take positive steps to prevent food fraud in their supply chains with a focus on the three generic types of food fraud, namely, (1) product substitution, (2) product addition, and (3) false statements about the geographical origin of products. Classification Company Confidential Food Fraud and Vulnerability Procedure Doc ID: SOP-046 Printed: Controller: Document Controller Page 3 of 7 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 342  ▪  FOOD SAFETY HANDBOOK Food Fraud and Vulnerability 5 Procedure Flowchart Identify threats and Form the Horizon scanning Review control points along VACCP team the food supply chain Assess terms and definitions and any new information Consider the potential threats/ food fraud related to the food supply chain What are the key process control points? Determine if Define and Score likelihood × additional control document the impact (1–5) measures/mitigation food supply chain What are the actions are required vulnerabilities? What is the opportunity? 6 Procedure Notes 4 6.1 The VACCP Team CHAPTER The food safety manager/management representative should establish a cross-functional team to con- duct a vulnerability assessment critical control point (VACCP) study on the organization. External experts may be used to facilitate and support the VACCP study and the process. All participants should receive relevant training in VACCP based on publicly available specification PAS 99:2012 of the British Standards Institution or training providers approved by the U.S. Food and Drug Administration (FDA) or equivalent. The training program should cover at least the principles outlined in box 4.1. Box 4.1  Training Topics Ensure all VACCP team members are trained in the following principles: • Scope of the assessment • Terms and definitions • Aim of the VACCP • Types of threats to consider • Understanding the attacker, that is, the motivation, the opportunity, and the realization • How to assess the threats and undertake a risk assessment procedure • Critical controls in relation to the VACCP • Response to an incident Classification Company Confidential Food Fraud and Vulnerability Procedure Doc ID: SOP-046 Printed: Controller: Document Controller Page 4 of 7 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Food Fraud and Vulnerability   ▪    343 Food Fraud and Vulnerability The VACCP team should consider new terms and definitions, plus any new relevant information. 6.2 Consider the Food Supply Chain and the Chain of Custody The VACCP team should conduct an initial review of the food supply by mapping out and verifying the food supply chain. This involves examining the unbroken path a product takes from the first stage in the food supply chain to the end customer, including raw commodity materials, conversion, transformation, distribution, and logistics. 6.3 Consider Food Threats and Vulnerabilities Assess the possibility of food fraud in the supply chain using a VACCP template that is similar to the VACCP template provided in the food safety training kit. Step 1: develop the key control points. After the food supply chain has been analyzed, key control points should be developed. A key control point is an area in the supply chain containing more than one product. The key process control indicates where contamination or the mixing of materials can occur or where there may be an economically motivated activity. In an ideal world, all products are fully tested and certified prior to processing. However, the reality of any supply chain operation sug- gests that these key process control points are points of vulnerability. Once key process controls have been developed, tracking and quality assurance can become drivers of a uniform marking system. To support determination of food provenance or geographical origin, periodic laboratory testing should be implemented. Step 2: product identification and the uniform marking system. The simplest way to ensure there CHAPTER is no mixing of certified and uncertified materials is to create a marking and identification system that is fail-safe for even the simplest FBO. The marking system must be clear in every part of the process and cover raw materials, work in progress, finished goods, distribution, and logistics to account for the entire supply chain. A classification strategy for certified and uncertified materi- als would require the materials to be segregated at separate locations. It is essential that policies and regulations address third parties that are responsible for the logistics and warehousing of the 4 components. Step 3: recordkeeping and document programs. A chain of custody program requires detailed records and record systems to track all the activities involving a product down to the lot, batch, minute, and second of the food supply chain. The documentation process will keep track of this supply chain activity from the first producer through to the end consumer. Heavily regulated indus- tries, such as the pharmaceutical and aerospace industries, can lead the way because they have established this process. 6.4 Score the Likelihood and Consequences Score the likelihood of the threat occurring and the consequences if the threat is realized using a VACCP template similar to the VACCP template provided in the food safety training kit. The rating is 1 to 5. The consequence category is selected from table 4.1 on the basis of the most likely impact if the threat is realized, and the likelihood category is selected from table 4.2 on the basis of the corre- sponding likelihood that the threat will be realized. Classification Company Confidential Food Fraud and Vulnerability Procedure Doc ID: SOP-046 Printed: Controller: Document Controller Page 5 of 7 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager 344  ▪  FOOD SAFETY HANDBOOK Food Fraud and Vulnerability Table 4.1  Categories of Threat Likelihood Rating Criteria Almost certain, rating 5 99 percent probability, or impact is occurring now, or it is expected to occur within days to weeks Likely, rating 4 >50 percent probability, or balance of probability it will occur, or it is expected to occur within weeks to months Possible, rating 3 >20 percent probability, or may occur, but this is against short-term probabilities, or it is expected to occur within months to years Unlikely, rating 2 >1 percent probability, or may occur, but not anticipated, or it is expected to occur in years to decades Rare, rating 1 <1 percent probability occurrence requires exceptional circumstances exceptionally unlikely, even in the long-term future it may only occur as a 100-year event 4 The matrix in table 4.2 is used to determine the relative magnitude of the residual risk, ranging from trivial (E) to very high (A). CHAPTER Table 4.2  Threat Risk Matrix 5 C B A A A 4 D C B B A Impact 3 E D C C B of threat 2 E D D C B 1 E E D C C 1 2 3 4 5 Likelihood of threat happening/detection Very high risk Threat A High risk Threat B Moderate risk Threat C Low risk Threat D Trivial risk Threat E 6.5 Describe the Current Control Measures The VACCP team will define and maintain the current control measures, that is, the critical controls in place against food fraud. Classification Company Confidential Food Fraud and Vulnerability Procedure Doc ID: SOP-046 Printed: Controller: Document Controller Page 6 of 7 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager FSMS Procedures and Documentation: Food Fraud and Vulnerability   ▪    345 Food Fraud and Vulnerability 6.6 Create Strategies and Actions to Mitigate in the Event of a Breach The VACCP team will create action plans and strategies in anticipation of a possible breach of current control measures. 6.7 Verify Effectiveness and Strategies to Mitigate Vulnerabilities in the Event of a Breach The VACCP assessment and controls should be reviewed formally at least once a year. The goal is to continue to improve the VACCP process by reviewing documentation and anticipating new possibili- ties of food fraud. This should include horizon planning, a robust internal and external review of food fraud vulnerabilities in the food industry. 7 Records Document Location Duration of record Responsibility Food fraud and VACCP assessment Food Safety Indefinitely Food safety record Office manager CHAPTER 4 Classification Company Confidential Food Fraud and Vulnerability Procedure Doc ID: SOP-046 Printed: Controller: Document Controller Page 7 of 7 Created: April 20, 2018 Updated: January 13, 2019 Owner: Food Safety Manager CHAPTER 5 Food Safety Training 348  ▪  FOOD SAFETY HANDBOOK Introduction Food business operators (FBOs) and others working in the food industry are legally required to undertake food safety training and undergo supervision according to their level of activity. Thus, for example, food managers and food servers receive different sorts of training. Individuals responsible for the development and maintenance of an FBO food safety management system (FSMS) must be trained in the application of hazard analysis critical control point (HACCP) system principles to the FSMS. No required frequency is set out in the standard legislation on training. It is up to FBOs to decide if staff need new or refresher training. This chapter does not seek to recommend a specific path in training or a specific type of training provider an FBO may select. It does offer guidelines and tips to help FBOs derive maximum benefit from food safety train- ing. The aim is to supply sufficient information about useful considerations in organizing training so informed decisions can be made based on individual needs. When embarking on training, FBOs often consult with learning professionals within their own training depart- ments or externally. A learning professional is an entity that provides learning services to clients. Learning professionals may be engaged as trainers, coaches, instructional designers who design and develop training courses and programs, or performance consultants. The practical effectiveness of an HACCP system or FSMS depends on the skills of the people who have devel- oped the system and who operate the system and the prerequisite programs (PRPs) that support the system. If the system is to be successful, then there must be an overriding internal belief in the benefits for an FBO of a properly implemented HACCP or FSMS approach. Factors such as the variable quality of the education and training available and of the impact on the development of an FBO can bear directly on the ability of HACCP or food safety teams to conduct and maintain appropriate hazard analysis. This potential for problems may be exacerbated by the generally weak understanding of the relationship between PRPs and HACCP systems or FSMSs, especially during implementation and in maintenance. When is training necessary? An FBO would not purchase new equipment without first checking whether the equipment has the correct specifications to meet the needs of the FBO or whether the benefits of the equipment will outweigh the associ- ated costs. Training may be viewed as an investment to ensure that equipment specifications match needs and that the returns on the equipment are likely to be satisfactory. Too many organizations regard training only as a mandatory expense and therefore hunt for ways to minimize the cost, rather than recognizing training as an 5 essential part of an overall business strategy. CHAPTER Alignment of needs Every FBO experiences gaps between desired and current organizational performance. These gaps may be said to represent the needs of the organization. To be effective, training interventions must strategically align with categories of FBO needs, including the following. Business needs are the highest order needs from which all other FBO needs derive. Not attending to these needs may threaten the existence of an FBO. Typical business needs include raising revenues, reducing costs, enhancing productivity, boosting efficiency, ensuring compliance with legislation and international food safety standards, providing better customer service, and attracting and retaining qualified personnel. Business needs may also be referred to as business or organizational goals, business objectives, or opera- tional needs. Food Safety Training   ▪  349 Performance needs are the on-the-job accomplishments and behavior of individuals in an FBO who perform specific functions contributing to the achievement of organizational goals. They represent what these individ- uals must do to achieve the goals of the FBO. They are often described in terms of performance parameters in quality, timeliness, dependability, flexibility, and cost. Performance needs may also be referred to as perfor- mance objectives, behavioral requirements, or accomplishments and behavior. Learning needs are capability shortcomings individuals must offset if they are to perform sufficiently to fill gaps in knowledge, skills, or attitudes that are holding back the effectiveness of an FBO. The learner needs of individual staff members are the particular knowledge characteristics of staff members that may influence the ability of the staff members to perform, including, for example, learning preferences, age, spoken languages, and literacy. These categories of needs are expressed differently across FBOs, and they are often associated with key per- formance indicators with observable, measurable values that gauge the effectiveness of an organization in achieving key business objectives. The indicators are measures of the gap between performance and goals. High-level performance indicators focus on the overall performance of an FBO, while low-level indicators focus on internal FBO processes. The metrics applied may include (1) financial metrics, such as profit, costs, and sales by region; (2) customer metrics, such as customer satisfaction and customer retention; (3) process metrics, such as the number of product defects or the frequency of incidents of noncompliance; and (4) people metrics, such as employee turnover or employee satisfaction. Key performance indicators inform an FBO’s objectives (the specific results of an activity, such as training, to be achieved with available resources and within a time frame) and desired outcomes (the hoped-for benefits of the achievement of a business goal) (box 5.1; figure 5.1). In the same way that misaligned equipment functions poorly, misaligned training will not achieve the desired results. FBOs are more likely to achieve greater returns on training investments if they adopt a strategic view of training, clarify the specific groups of their needs, and ensure that training is targeted on these needs. Box 5.1  Examples of Needs Fulfillment through Training To fulfill regulatory requirements, an FBO may wish to ensure that its food safety policies and procedures are regularly updated to promote the utmost efficiency. This is an example of a business need. To solve the business need, the FBO may require that supervisors store documentation related to food safety policies and procedures correctly so that the documentation may be readily retrieved. This is an CHAPTER example of a performance need aligned with a business need. To meet the performance need, the FBO may decide to train the FBO’s supervisors in correctly uploading the latest information on food safety policies and procedures and adjusting version control numbers and dates of issue. This is an example of a learning need aligned with a performance need. To offset the learning need, the FBO may be obliged to take into account specific characteristics of the supervisors who will undertake the training required to achieve the learning. For example, the supervisors 5 may not be fluent in the language of the documentation, and some may not be computer savvy. This is an example of learner needs that must be taken into consideration in aligning training with learning needs. A suitable training intervention in alignment with the above needs might involve a short course on the digital capture of documents and the collection of the necessary metadata on document versions and dates of issue. The training might include examination of well-chosen examples and dos and don’ts. The training could be supplemented by electronic performance support, for instance, post-training coaching continued 350  ▪  FOOD SAFETY HANDBOOK Box 5.1  Examples of Needs Fulfillment through Training (continued) or the creation of an interactive computer-based form that provides guidance to supervisors as they scroll over blank forms that must be completed. Related to the training intervention would be nontraining interventions, that is, considerations that are not part of a training program per se, but can affect greatly training outcomes, such as securing convenient access to computers by supervisors to update and store documents. Training that is in alignment with the needs of an FBO is likely to be effective and achieve the desired outcomes. As a counterexample, imagine how ineffective training would be in the aforementioned scenario if the following were true: ▪▪ The learning need has been defined too generally, for instance, the need for broad knowledge about seven key factors in a document management system: records creation; retention and disposition; storage and maintenance; access and retrieval; appropriate use of technology; promotion and support (archival records); and management program integration (Norris 2002). ▪▪ Learner needs have not been specifically defined, and the targeted learner group encompasses all FBO staff, from transport drivers to food handlers and managing directors. ▪▪ The proposed training intervention consists of a rehashed slideshow presentation about the pros and cons of three kinds of document management systems—paper, electronic, and hybrid—followed by a paper-and-pencil true-false quiz. ▪▪ The proposed nontraining intervention is a memorandum issued by management on the importance of storing documents properly. These learning needs and solutions are not aligned well with the performance and business needs; nor are the proposed training and nontraining interventions directly applicable to the needs. Figure 5.1  Effective Training: Aligning Business, Performance, Learning, and Learner Needs Performance Learner Nontraining needs needs interventions 5 CHAPTER Business Learning Training and needs needs coaching intervention Business goals When can training help? The inadequate performance of FBO staff is often the first symptom that some sort of training intervention is required. While training can indeed help resolve many performance issues, it may not be appropriate in all instances. The best balance depends on the source of the performance problem. Does the performance prob- lem arise because of one of the following? Food Safety Training   ▪  351 The performers do not know what to do or how to do it. The staff members lack the knowledge or skills to perform particular tasks. This is an issue on which training may provide a solution. If the staff ­m embers once knew how to perform the tasks, they may merely require a reminder (such as a job aid) or reinforcement (such as more practice); otherwise, training may be necessary. A job aid may be sufficient in cases in which the task is occasional and the performers do not need to internalize the procedure; rather, they may simply follow the appropriate steps whenever necessary. If the job aid is explanatory, no training is required. self-­ The performers know what to do, but do not want to do it. The staff members have a poor attitude or lack motivation to perform appropriately. The staff members need to understand why proper performance matters. Training, such as realistic simulations or role playing, may help, or the staff members may need an incentive. The performers want to do what they need to do and know how to do it, but a lack of resources or some other roadblock is preventing successful accomplishment. Training will not resolve this problem. Roadblocks to performance may stem from a host of issues in the FBO environment, for example: (1) inadequate physical resources, such as a lack of office space, tools, time, or budget; (2) inadequate structure or process, such as unclear processes or policies, poor workflow, or structural or process deficiencies; (3) lack of adequate infor- mation, lack of timely or accurate feedback; and (4) wellness issues, such as poor physical health, emotional instability, or a toxic company culture (figure 5.2). In a perfect world, performance issues would divide evenly among these probable causes. In a complex world, training may not be the sole answer to a performance issue, and training should be offered alongside Figure 5.2  Is Training the Answer? Know what to do and want Know what to do, to do it; something else is Don’t know what to do but don’t want to do it getting in the way Reason for Lack of No Lack of No Lack of not performing knowledge or motivation? resources? skills? Yes Yes Yes Need to Investigate Investigate CHAPTER Create No internalize job aid knowledge environmental environmental or skills? causesa causesa Yes Need to learn Yes Training may Training will NOT how to use Training required or may not be solve the performance appropriate problem 5 job aid? No Distribute job aid a. Examples of environmental causes: lack of physical resources; unclear policies and procedures; lack of information; wellness issues. 352  ▪  FOOD SAFETY HANDBOOK Box 5.2  Aligning Training with Needs: A Sample Case Ferdinand is the food safety manager of a medium-size meat processing company. The company prepares and packages local favorite specialty grilling products. Over the past several months, two cases of Listeria monocytogenes contamination have been detected in the company’s meat preparation and packaging areas. The local regulatory authority has investigated and made significant recom- mendations regarding the company’s Listeria control strategy, including practices related to product processing, intensive cleaning, sanitation, and additional environmental and end product testing. Ferdinand is conscious of his company’s stated business goal to become the trusted brand supplier for all grocery stores in the region. The contamination incidents have negatively affected the company’s key business outcomes, particularly key performance indicators related to safety, quality assurance, and marketing. Ferdinand recognizes that he needs to train food handling staff more effectively and hires Marie, a learning professional, to help him sort through the problem. In this case, any proposed training must align with the following needs: ▪▪ The business need is to reestablish trust in the company brand, as indicated by specific food safety, quality assurance, and marketing measures. ▪▪ The performance need is to ensure that staff apply thorough sanitation procedures during product processing to avoid Listeria contamination. The hazard control plan must also be updated, and control measures and the entire system must be revalidated. ▪▪ The learning need may include food handler understanding of microbiological contamination, personal hygiene, and the proper use of cleaning equipment and materials. It may also encompass some motivational aspect, such as understanding the consequences of inadequate sanitation and the serious infections or even death that may result among friends and family from eating foods with Listeria monocytogenes. ▪▪ The learner needs may include the accommodation of local language in learning. The proposed training intervention may reflect a variety of strategies, such as formal step-by-step instruction, accompanied by a job aid that can be posted in the workplace. Marie will likely also include information in the training about the serious consequences of microbiological contamination and poor sanitation. Some nontraining interventions may also be required to resolve the problem, for example, ensuring the provision of physical resources, such as cleaning equipment and supplies, and convenient food handler access to these resources. nontraining interventions to be effective (box 5.2). The nontraining interventions might include adjustments 5 to resources, structures and processes, information and feedback, or attention to wellness issues. A learning professional can supply guidance on the best way to resolve a performance issue. CHAPTER What to look for in a training provider It is advisable to survey several training providers to find one that suits the FBO requirements. The following are examples of characteristics that might be wanted among learning professionals. Does the training provider have appropriate food safety qualifications? The learning professional must have a background in food safety and relevant experience in the food industry. Does the training provider have appropriate training and educational qualifications? The learning profes- sional must have knowledge about how people learn about and acquire training skills. This may include the following: Food Safety Training   ▪  353 ▪▪ Credentials from accredited international professional training organizations, such as the Association for Talent Development (https://www.td.org/), the Institute for Performance and Learning (https://performanceandlearning.ca), the International Society for Performance Improvement (https://ispi.org/), and the Learning and Performance Institute (https://www.thelpi.org/), or related skill certifications, such as in training and facilitation, instructional design, adult learning, or coaching. ▪▪ Formal educational degrees or diplomas in adult education; educational technology; instructional design, training, and development; or performance improvement. Does the training provider use a systematic approach? Most learning professionals follow a well-defined ­ problem-solving approach in undertaking a training project, such as the training life-cycle approach. The approach often embodies a process for developing, delivering, and managing a training product or service. Does the training provider adopt a collaborative approach? Is management participation encouraged? Management involvement is crucial to the success of the training, particularly during pre- and post-training phases. The learning professional and management should work together to ensure that all food safety issues at the business are addressed by the training course or program. A seasoned learning professional would partner with the FBO to clarify performance needs and expectations as well as the parameters of the training project. This is also an opportunity to expand thinking and mutually consider possible innovative solutions. Is the training provider interested in identifying specific needs and appropriate solutions? Does the learning professional take time to explore the context of the FBO’s needs? Is the learning professional willing to spend time listening to FBO management and explaining the best method for meeting requirements? Is the learning professional able to pinpoint problems and likely causes, suggest appropriate solutions, and provide guide- lines in measuring success? Is the learning professional willing to demonstrate training materials or previous work? Does the learning professional supply cost-effective, learning-efficient, learner-focused solutions? The answers to these questions will offer an indication of the quality of the training one may expect and of whether the training is generic or may be tailored to needs. Management should examine the relevance of the training content to the needs of the FBO. Is the training content cost-effective? Is it replicable or customizable for potential future training requirements? Is the training process structured appropriately and efficiently? Does it keep learners engaged, accommodate individual learner preferences, and provide sufficient practice and feedback so learners may acquire the desired performance skills and knowledge? Does the learning professional provide follow-up support? Does the learning professional address the applica- CHAPTER tion of training in the workplace? Post-training follow-up is essential in putting the training theory into prac- tice in the workplace and can help clarify issues that may arise among participants after the training has taken place. Management should consider possible post-training issues such as the fit of the proposed follow-up with the work environment, the opportunities available for retrieving and practicing the skills and knowledge learned during the training, the provision of periodic reminders and practice on key training elements, and the mechanisms included to monitor post-training performance. 5 What do previous clients say about the learning professional? Can the training provider demonstrate the outcomes of previous training engagements? Talking to previous clients will help management determine the quality of the learning professional’s interventions. Former clients may be able to answer questions such as the following: Did the training solution help resolve staff performance issues? Were the outcomes attributable to the training alone, or did other factors contribute or interfere? How did the learning professional eval- uate the effectiveness of the training? What modifications would improve the effectiveness of the training? Were the previous clients satisfied with the benefits of the training relative to the cost? 354  ▪  FOOD SAFETY HANDBOOK Other desirable qualities worth considering in hiring a training provider include (1) excellent communication skills, including written and oral presentation skills; (2) strong interpersonal and teamwork skills; (3) the ability to work effectively across organizational boundaries; and (4) a sense of humor. For more guidance on what to look for in the selection of learning professionals, see GLC (Grow Learn Connect), International Finance Corporation, Washington, DC, https://www​ .growlearnconnect.org/. Where can FBO management find learning professionals or training courses? Other than global directories available through international accreditation bodies, there may be no central- ized list of learning professionals or training courses in the local area of an FBO. One should therefore check among local training providers or search online for courses or learning professionals nearby. The International Finance Corporation (IFC) has developed several relevant FSMS training courses, as follows: ▪▪ IFC Food Safety Foundation Course. This is an entry-level course aimed at the FBO processing, catering, and retail sectors. The course is recommended as a prerequisite for participation in the IFC Food Safety Handbook Training Course. The course covers the basics of food safety management and focuses on the prerequisites for establishing an HACCP-based FSMS. The course can also be tailored to an industry sector. ▪▪ IFC Food Safety Handbook Training Course. This is an intermediate-level course aimed at providing an FBO with appropriate knowledge and skills. It involves components on access to best practice HACCP tools and techniques and useful links to enable the FBO to establish and develop an FSMS based on the HACCP requirements in most schemes recognized by the Global Food Safety Initiative (GFSI). ▪▪ IFC Food Safety Internal Audit Course. This is a two-day advanced-level course aimed at providing FBOs with the knowledge and practical skills for conducting food safety internal audits. The course covers planning, preparing for an internal audit, performing an internal audit, communicating the audit results, and the conclusion of the auditing process, including corrective action and root cause analysis of the findings. The course also involves a mock recall exercise to allow the participants to put their knowledge into practice. Courses have been conducted in, for instance, Myanmar and Vietnam. 5 CHAPTER For more information on the first two courses, go to “Food Safety Training Courses,” International Finance Corporation, Washington, DC, https://www.ifc.org/wps/wcm​ /connect/industry_ext_content/ifc_external_corporate_site/agribusiness/resources​ /food+safety+training+courses. Developing a training program Most learning professionals will implement a well-defined problem-solving approach in realizing a training program. One approach is the training life cycle, which typically consists of six steps, as follows: ▪▪ Investigating performance needs and identifying suitable performance improvement solutions Food Safety Training   ▪  355 ▪▪ Designing curricula to undertake a comprehensive training strategy, especially in larger programs ▪▪ Designing and developing learning experiences, that is, training courses, especially in smaller programs or within a larger training scheme ▪▪ Facilitating learning, that is, conducting the training ▪▪ Supporting the transfer of learning, that is, ensuring that the knowledge and skills acquired through training are applied in the workplace ▪▪ Evaluating learning, that is, making sure the training successfully promotes learning Some professionals add a seventh step: revising the training. This step signals that any training represents a continuous cycle of improvement, whereby the results of evaluation feed into enhancements in future training interventions. Some learning professionals also incorporate a rapid prototyping of training solutions into the above process as a way of helping clients visualize more concretely the final training scheme. Below are descriptions of each step, including the purpose, the process, the deliverables, the approximate time required, and ways management can help the training program succeed. Assessing performance needs PURPOSE A learning professional will typically partner with an FBO to accomplish the following: (1) investigate perfor- mance and training needs; (2) ensure that appropriate performance problems and causes are being addressed; (3) determine whether the problems can be resolved through training and, if so, whether additional nontrain- ing interventions need to be considered, such as interventions directed at motivational issues, the adequacy of physical resources, adjustments to organizational structure or processes, clear information and feedback on performance, or the cultural climate of the FBO; and (4) derive the best learning solution to align with the FBO’s business and performance needs to maximize impact. WHAT TO EXPECT In assessing an FBO’s performance needs, a learning professional may take only a few hours to clarify what participants should be able to do after completing a proposed training course, or the professional may take several weeks to analyze complex performance issues that involve many work processes, functions, and roles. This may entail assessing performance needs across FBO staff, processes, and the entire organization. CHAPTER FBO management should be prepared to respond to wide-ranging questions from the learning professional, who will seek to obtain a full picture of the FBO’s performance issues and may ask questions related to the fol- lowing: (1) trends affecting the region, the industry, and the FBO; (2) the FBO’s business goals, particularly the strengths and opportunities on which management wishes to build and the weaknesses and threats that may be hindering progress; (3) performance issues at an individual, process, or organizational level and the perceived gap between current and desired performance; (4) learning needs, that is, the staff’s knowledge, skills, and 5 attitudes that, if improved, could help close the performance gap; and (5) specific learner needs that would nec- essarily shape any proposed training intervention, such as literacy, familiarity with computers (if considering e-learning), and scheduling matters (for instance, shifts and caregiving responsibilities outside work). The responses and other information may be collected in several ways, including the following: ▪▪ One-on-one interviews or focus groups with key management staff, representatives of the target learners, other stakeholders, perhaps even customers, depending on the nature of the performance issues identified 356  ▪  FOOD SAFETY HANDBOOK ▪▪ Research into human resource records and past training and training results ▪▪ Site visits and observation of target learners at work KEY DELIVERABLES There are two key deliverables involved in this process. First is the survey questions and responses during interviews and focus group discussions and research during the performance needs assessment or training needs assessment. Second is a report on the performance needs assessment. The report provides a sum- mary of findings and recommendations on ways to close the performance gap. It may contain a training program proposal, which should not only describe the proposed training intervention (for example, classroom learning, e-learning, mentoring, coaching, on-the-job training, and job aids), but also comment on nontraining interventions that may need to be implemented to maximize the impact of training. For example, if food handlers receive excellent training on the steps to ensure good food hygiene, but have difficulty accessing the necessary equipment or protective ware to carry out these steps, the results will be unsatisfactory. Report recommendations should also include a discussion of the way learning will be transferred to the workplace to ensure sustained, high-quality performance and the way the results of learning will be measured and evaluated. The performance needs assessment report will help FBO man- agement make informed decisions and fix priorities among the proposed training interventions, including whether to opt for a standardized course or program and customize it to fit the organization or for a custom course or program (box 5.3). APPROXIMATE TIME It is worthwhile to spend a fair amount of time on this step because all other steps hinge upon it. To complete this step, the learning professional should be allowed at least three weeks or even more, depending on the size and complexity of the training program. Box 5.3  A Sample Assessment Process on Performance Needs Marie conducts a performance needs assessment for Ferdinand, and, through focus group interviews with supervisors and employees, she uncovers some underlying causes for the performance issues Ferdinand is facing. While each employee receives thorough orientation training in the foundations of food safety when they are hired, including hygiene and sanitation practices, the training only occurs on the first of each month. New hires who miss the orientation cycle sometimes need to wait a full month to receive the training. Marie also discovers that cleaning equipment and supplies are located far from the meat processing area and are sometimes not adequately stocked. Moreover, because san- 5 itation procedures are usually performed at the end of shifts, they are often carried out hurriedly by employees anxious to get home. Finally, she remarks that a quarter of the food handlers exhibit low CHAPTER literacy. Marie proposes the following training solution: ▪▪ The use of a short training video in which a respected work colleague demonstrates the sanitation procedure step by step. The video will be provided in the local language and subtitled. The video will be the property of the FBO. It can be played on demand on multiple devices and used by employees who wish to obtain a refresher on the procedure and by supervisors or assigned buddies (mentors) who wish to show it in conjunction with the coaching of new hires or employees who are underperforming. ▪▪ A pictorial job aid accompanies the video. It highlights the important aspects of each step and will be posted at key locations throughout the meat processing area. continued Food Safety Training   ▪  357 Box 5.3  (continued) Marie also proposes some additional nontraining interventions, as follows: ▪▪ The relocation of cleaning equipment and supplies to a place that is more convenient for employees ▪▪ Adjustments in document management in the company’s FSMS, particularly in the restocking procedure for cleaning equipment and supplies to avoid stockouts ▪▪ The provision of sufficient time for sanitation procedures to be completed prior to the end of a shift ▪▪ Random inspections by managers to ensure adherence to procedures ▪▪ Laboratory validation of cleaning activities ▪▪ Reward incentives for staff teams that achieve 100 percent compliance with standards and rules over the year HOW MANAGEMENT CAN HELP This step can be expedited if management readily provides the learning professional with access to informa- tion, such as the following: ▪▪ The background of the FBO and the decision to implement training ▪▪ The estimated training budget and any training infrastructure ▪▪ Previous training that has been conducted ▪▪ Technical documentation, including step-by-step processes and procedures ▪▪ Demographic information on the target learners ▪▪ The technical environment in which the target learners work and where the training will take place ▪▪ The arrangements for requested interviews and focus groups Designing curricula (training strategy) and designing and CHAPTER developing learning experiences (training courses) PURPOSE During these steps, the learning professional builds a plan and develops learning solutions to meet the needs identified during the first step. 5 For a complex training program, this step involves the preparation of a training strategy report, which is essentially a blueprint describing the interrelated courses and materials that will be used to build the compe- tence of staff over an extended period. Designing the curricula involves determining the content to be included and defining the strategy of the curricula, for the training process, and to support the learners. For smaller training programs or for an individual course within a complex training program, this step requires detailed planning of the training course and the learning experience, including content, structure, instructional delivery, and evaluation methods. 358  ▪  FOOD SAFETY HANDBOOK Box 5.4  A Sample Course Design on Sanitization of Meat Processing ­Equipment For her training program for Ferdinand’s food handlers, Marie focuses on the design of a learning expe- rience (or training course) on the sanitization of meat processing equipment. Such a course could also conceivably be part of a much larger curriculum (or training strategy) designed to support food safety management across many functions at Ferdinand’s company. The curriculum might include many other courses, such as an introduction to food safety, personal hygiene, pest and waste control, food storage, introductory and advanced HAACP, FSMS policies and procedures, document and record control, and internal auditing, some or all of which may be mandatory depending on the job of the employee. The curriculum would also specify the level of the content required, ranging from introduc- tory to intensive, the best sequence in which to take the courses, and the staff for whom each course is ideally intended. Once the plans are agreed, the learning professional proceeds to development and (1) creates training materi- als for each course for both the trainer and the participants; (2) may help select trainers and organize training the trainers, if necessary, to orient them to the courses they will teach; and (3) prepares logistics related to course scheduling, participant registration, and course delivery (box 5.4). WHAT TO EXPECT During planning, whether the training program is large or small, the learning professional will want to gain clarity from management on the following: ▪▪ The profile of the target learners: the knowledge and abilities they already possess, their demographic background and educational attainment, and their motivations, aspirations, and concerns; what makes them tick? ▪▪ The establishment of clear learning objectives that are SMART—specific, measurable, attainable (or achievable), realistic, and time-bound—and tie directly to the FBO’s performance and business goals ▪▪ The selection and sequencing of training content ▪▪ The best training delivery format, that is, classroom, live online, or self-study e-learning ▪▪ The identification of suitable practice activities to reinforce skills and concepts 5 ▪▪ The identification of appropriate post-training support for learners CHAPTER At the development stage, as training content is prepared, the learning professional may require additional input from content experts and reviews by content consultants and other stakeholders FBO management may designate to ensure content accuracy. During this stage, management may also receive prototypes for review, such as sample facilitator and participant guides in the case of classroom-based learning or sample e-learning modules. KEY DELIVERABLES Planning stage First is course plans for simpler programs, including profiles of intended target learners, a description of the learning objectives and how these will be measured, a content outline, and a decision about the delivery for- mat. Second is a training strategy report for more complex programs, including profiles of the intended target learners and a curriculum roadmap, that is, the interrelationship of courses, their sequencing, and the delivery format. At this stage, management may also expect prototypes, templates, and guidelines. Food Safety Training   ▪  359 Development stage First is training materials such as facilitator guides for classroom or live online learning, participant workbooks and handouts, presentation slides, reference materials, job aids, posters, and e-learning or paper-based materials for self-study. Second is the organization of a web-hosting platform for e-learning. Third is the creation of a training registration database for participants. Fourth is the establishment of training schedules. Fifth is training the trainers, if necessary. Sixth is the organization of announcements on upcoming training. APPROXIMATE TIME Management should allow 2–12 weeks for the planning stage, depending on the number of courses, the avail- ability and quality of source documents, and the availability of content experts able to guide the instructional designer in preparing the plan. The amount of time required for the development of training materials will vary considerably depending on the duration of the course and the training delivery format. Table 5.1 supplies general guidelines derived from a survey conducted in 2017 by the Association for Talent Development that can help management estimate how long it will take to develop a course. The table assumes the development of a custom course, rather than the adaptation of a preprepared course. Table 5.1  Time Required to Produce One Hour of Instruction Delivery format Number of hours Instructor-led classroom training 40 Live online web-based training 30 E-learning with limited learner interaction 70 E-learning with complex learner interaction 130 E-learning with real-time simulations 140 Source: Defelice 2018. HOW MANAGEMENT CAN HELP Management can expedite these stages by (1) providing the learning professional with access to content experts and technical documentation; (2) reviewing and providing feedback on plans in a timely manner; CHAPTER (3) preparing FBO staff by informing them of the reason for and the importance of the upcoming training; research has shown that managers who establish among staff the context and the expectations associated with training prior to the delivery of training have the most influence on the successful impact of training, even more influence than the trainers or the target learners; and (4) securing the resources necessary to deliver the training, such as web-based platforms or training rooms. 5 Facilitating learning PURPOSE This stage focuses on conducting the training effectively and efficiently so that participants can achieve the expected learning outcomes in as little time as possible. During this stage, the trainer seeks to create a positive learning environment for participants during the course and foster learning by encouraging the active engage- ment of learners. The trainer will use activities to monitor and evaluate the progress of the participants toward the learning objectives. 360  ▪  FOOD SAFETY HANDBOOK WHAT TO EXPECT During this stage, management may expect the following. First, a pilot course is conducted with representa- tives of the target learners, content experts, and representatives of the FBO management team. The test allows management and the learning professional to determine if the course is likely to achieve what has been pro- posed and if any modifications are necessary before rolling the course out among staff more widely. Second, the training course or program is launched. Third, learning supports are implemented, such as e-mail remind- ers, job aids, coaching by supervisors or the trainer, on-site follow-up with participants, and recognition and incentives for good performers. KEY DELIVERABLES The key deliverables are (1) the course and (2) evaluations of participant satisfaction with the course and the achievement of the course learning objectives, possibly through a test, a demonstration event, or a new project. APPROXIMATE TIME The time required for this stage is contingent on the duration of the course. HOW MANAGEMENT CAN HELP Management can support this phase during training by encouraging participants to take the training seriously and giving participants sufficient time to acquire new skills and knowledge and obtain feedback on their performance. Supporting the transfer of learning PURPOSE Learning does not stop after a training course ends. Supporting the transfer of learning helps participants apply in the workplace what they have learned during the course. During this stage, the learning professional wants to ensure that participants are able to use what they have learned during their courses and seeks ways to reinforce the learning achieved during the course. Although the support for the transfer of learning is con- sidered a separate stage, it is a focus of the learning professional throughout the training life cycle. WHAT TO EXPECT During this stage, management should expect the reinforcement of the learning among participants post- training, back on the job. 5 KEY DELIVERABLES CHAPTER The key deliverables are (1) the implementation of a variety of post-training reinforcement interventions, including coaching by supervisors, colleagues, or the trainer, and performance support tools, for example, e-mail reminders, review tests, job aids, on-site follow-up with participants, and recognition and incentives for good performers, and (2) the collection of evaluation data on application by participants of their learning. APPROXIMATE TIME The time required for this stage is contingent on the duration of follow-up activities. HOW MANAGEMENT CAN HELP Management can support this stage by allowing sufficient time for participants to practice their new skills and knowledge on the job and by obtaining feedback on the performance of participants since training. Food Safety Training   ▪  361 It is critical for management to reinforce the learning transfers in the workplace. According to research, the successful transfer of skills and knowledge through training is closely connected to the direct involvement of management after training, which is almost as important as the involvement of management before training. Management can also support the transfer of learning by holding staff accountable for implementing what they have learned, measuring their progress, providing coaching and guidance among staff who are having difficulty, and recognizing star performers. Evaluating learning PURPOSE During this stage, the learning professional helps management gauge the effectiveness and impact of the train- ing interventions by monitoring evidence-based results. WHAT TO EXPECT Learning evaluation refers to the collection and analysis of data and information to determine how effectively the training intervention has met business, performance, learning, and learner needs. What is meant by training effectiveness? How does one know if the training went well? Kirkpatrick (1959, 1994) provided the most comprehensive response to this question. He said it boils down to four questions, as follows: ▪▪ Did the learners like the training? ▪▪ Did they learn the material? ▪▪ Did they use it? ▪▪ Did it make a difference? These four questions correspond directly with the four categories of needs of an FBO (figure 5.3). Figure 5.3  The Links between the Assessment of Needs and the Learning Evaluation CHAPTER Needs assessment Evaluation levels ▪ Stage 1: What are the ▪ L4—Business impacts: Were the business needs? business needs met? ▪ Stage 2: What are the ▪ L3—Job performance: Can learners performance needs? perform as required back on the job? 5 ▪ Stage 3: What are the ▪ L2—Knowledge/skill mastery: learning needs? Did they learn what they were supposed to learn? ▪ Stage 4: What are the ▪ L1—Learner reaction: Were they learner needs? satisfied with the learning experience? 362  ▪  FOOD SAFETY HANDBOOK The evaluation of each of Kirkpatrick’s questions is progressively more complex (table 5.2). KEY DELIVERABLES The first key deliverable is a training evaluation report covering the four levels of Kirkpatrick (see table 5.2): ▪▪ The reaction of participants to the training intervention ▪▪ The comprehension and retention by participants of the learning ▪▪ The ability of participants to apply their learning ▪▪ The impact of the training on the achievement of FBO goals, which may include a calculation of the return on investment, especially in the case of more complex training projects Table 5.2  The Four Evaluation Levels When is this level Evaluation level The question Why evaluate this level? evaluated? Typical evaluation methods used 1. Reaction How much Checks whether individ- End of Participant evaluations at the did partic- ual learner needs have training end of the course, either written ipants like been accommodated (for or oral the learning instance, correct content experience? level, appropriate content, desirable course duration) 2. Comprehension How much Checks if participants During Course activities and discussion have par- have been able to achieve training Exams, quizzes, pre- and post- ticipants expected learning tests for knowledge evaluation understood outcomes and retained Capstone exercises for skill and the course attitude evaluations, such as indi- contents? vidual demonstrations or projects 3. Application How well are Determines if participants Three to Interviews with participants participants are performing as desired six months Focus groups applying and can consistently use after 5 what they their new skills and knowl- training Self-reporting CHAPTER have learned? edge back on the job On-site observation 4. Impact a How much Determines if business Six months Report on the impact of train- has the results have been realized to one ing interventions with regard learning and how much of the year after to agreed key performance experience impact can be attributed training indicators affected to the training versus overall busi- other environmental ness results? factors a. Phillips (1997) suggests a fifth level beyond impact—the return on investment—usually in larger scale training projects. Return on investment measures the amount of return relative to an investment and indicates the extent to which the FBO uses its resources efficiently. It is usually expressed as a percentage and defined as net project benefits, divided by project costs. For example, a return of 79 percent means that, for every dollar of investment in a training project, 79 cents is returned after all investment costs have been recovered, such as the cost of developing the training program and the salaries and travel expenses of participants. Food Safety Training   ▪  363 In particular, management should examine if the training evaluation addresses each of the performance and training needs in the performance needs assessment (box 5.5). The second key deliverable is represented by recommendations for regular improvements in the training. Box 5.5  Addressing the Four Training Evaluation Levels For Ferdinand’s training project, Marie addressed the four evaluation levels in the following ways. First, she examined the reaction of participants to the training by surveying participants on their response to the video training course, including the relevance and accuracy of the content, the ease of using the video, and any suggestions for future modifications. Second, she gauged participant comprehension. She measured the participants’ achievements in learning outcomes in two ways. After the video session, the participants took a brief quiz to self-check their understanding of key steps. They were permitted to replay the video as many times as neces- sary to achieve a score of 90 percent or higher. To receive a certificate for completion of the training, ­participants were required to demonstrate to their supervisor the sanitation procedure outlined in the job aid. Third, she studied the application by participants of their learning. Supervisors were required to conduct unannounced checks and observe employees while they were sanitizing equipment. The supervisors also conducted end product testing. They regularly reported the results of employee compliance and tests to management. Fourth, she analyzed the impact on the FBO. Thanks to the new method of strategic training, Ferdinand’s company has eliminated the Listeria monocytogenes contamination and has regained market share as one of the most trusted suppliers in the region based on selected key performance indicators. APPROXIMATE TIME The length of this stage is contingent on the extent and strategy of the evaluation (see table 5.2). HOW MANAGEMENT CAN HELP Management should encourage staff to supply honest feedback about the training course, the training process, and the training content as a way to enhance future training offerings. Management should carefully con- sider any recommendations forthcoming in reports on the application of learning (evaluation level 3) and the impact of the training on staff performance and, ultimately, business results (evaluation level 4). CHAPTER For more information, go to the GLC (Grow, Learn, Connect) website, at https://www​ .growlearnconnect.org/. 5 364  ▪  FOOD SAFETY HANDBOOK What does an auditor seek when assessing food safety training? An internal or external auditor will not necessarily want to see a certificate from a particular training course, but may request evidence on the delivery of the training and the topics studied. In particular, an auditor will observe hygiene practices and verify the food safety knowledge and skills of staff. The auditor may ask to see food safety records or ask about the nature of the food safety training that has been provided (box 5.6). In essence, merely completing a training program to check off a box is not sufficient. It is critical that man- agement show evidence that the knowledge and skills covered in training have been implemented and are associated with appropriate records. The sample documented standard operating procedure (SOP-014) on training and development provided in chapter 4 may support such a process, while also aiding in the design and implementation of the training program. Box 5.6  A Word on Budgeting for Training The cost of a training project is proportional to the complexity of the project. Many variables affect the cost. It is a best practice to pay for training projects in three steps: ▪▪ The performance needs assessment, the report on findings, and the training strategy: This cost relates to conducting the performance needs assessment and producing a performance needs assessment or strategy report. The cost is based on the materials used and the time taken by the learning professional. ▪▪ Training product development: Once the training strategy is known, management may obtain a more accurate assessment of the development costs from the learning professional. The development budget is typically included as part of the training strategy. Management can base the cost of contracting on the budget presented in the final training strategy. However, management may want to adjust the implementation approach once there is a better understanding of the budget implications. ▪▪ Training delivery: Pay for the delivery of the training courses or the training program separately from development because the cost of the former greatly depends on the delivery method, the size of the target audience, the number of trainers needed, the travel costs, and the amount of time. Some of the following factors will affect the cost of a training project: 5 ▪▪ The number and duration of the courses to be developed CHAPTER ▪▪ The availability of instructional material on the same subject for adaptation and customization ▪▪ The availability and quality of source material ▪▪ The types of instructional material to be developed, for example, classroom based, e-learning, and job aid ▪▪ The technology needed for the proposed delivery method, for instance, web-based training and videos ▪▪ The number of pilot tests involved in the training program ▪▪ The translation into multiple languages and adapting the training materials to the local context Food Safety Training   ▪  365 The responsibility matrix and training needs analysis Management should undertake the following as part of the process of developing a training plan and a training program: (1) identify the responsibilities of individuals involved in food safety PRPs and the FSMS; (2) identify the responsibilities of individuals performing tasks that have the potential to generate a significant impact on food safety; (3) determine the proper competencies required of individuals possessing responsibil- ities in these areas; (4) assess the training needed to link these responsibilities and these competencies; and (5) develop the requisite training program. Tables 5.3 and 5.4 provide guidance in this endeavor. Table 5.5 illustrates a partly completed training agenda. CHAPTER 5 366  ▪  FOOD SAFETY HANDBOOK Table 5.3  Responsibility Matrix and Training Needs Analysis Role, position, Qualifications and title, position no. Name Responsibilities competency Managing director Mike • Participate in FSMS management review Senior business Murphy • Set policy administrator • Review objectives and targets • Allocate resources Food safety Joe Bloggs • Establish, develop, implement, maintain, and improve the BSc Food Science manager FSMS, including food defense Certificate of Attain- (management • Train the FSMS team members ment in FSMS representative) • Implement programs to achieve set objectives and targets • Monitor and measure FSMS performance, including report- FSSC 22000 ing to top management • Maintain awareness of FSMS compliance within the FBO • Liaison with external audit and inspection organizations Internal auditor Mary Cahill • Develop internal audit program in liaison with the food Certified FSSC safety manager 22000 Internal • Conduct internal audits according to schedule Auditor • Train other internal auditors FSMS team A Sullivan • Maintain awareness on policy and FSMS FSMS, including members J Wright • Implement the program to achieve set objectives and targets HACCP principles and practices M Brown • Implement PRP and HACCP plan, and implement, verify, and validate the operational prerequisite program (OPRP) Planning, opera- K Wriggly tions, management • Help in monitoring and measurement • Train respective staff in implementing FSMS policies and procedures • Oversee the context of organization planning, leadership, Department All performance evaluation, improvement of the FSMS ­ managers Laboratory R Harley • Conduct analytical tests, laboratory equipment mainte- Laboratory manage- technician nance and calibration, p-test, laboratory training ment (chemistry/ 5 biology) CHAPTER Associate All • Maintain awareness on policy and FSMS N/A Transport driver All • Maintain awareness on policy and FSMS Driver’s license Note: FBO = food business operator; FSMS = food safety management system; FSSC = Food Safety System Certification; HAACP = hazard analysis critical control point; LAB = laboratory; N/A = not applicable; OPRP = operational prerequisite program; PRP = prerequisite program. Food Safety Training   ▪  367 Training Training needs Planned dates details Remarks • FSMS orientation (in-house) April 24, 2018 FSMS-1 Training completed April 24, 2018 • Mandatory FSMS training, reference the March–October 2019 Various Training to be completed by training matrix (internal) October 2019 • Emergency preparedness and response/­ June 2019 FSMS-4 Training to be completed by crisis management (external) June 2019 • FSMS orientation (in-house) April 24, 2018 FSMS-1 Training completed April 24, 2018 • FSSC 22000 lead auditor training (external) March–April 2019 FSMS-5 Training confirmed • Mandatory FSMS training, reference the March–October 2019 Various Training to be completed by training matrix (internal) October 2019 • Emergency preparedness and response/­ June 2019 FSMS-4 Training to be completed by crisis management (external) June 2019 • FSMS orientation (in-house) April 24, 2018 FSMS-1 Training completed April 24, 2018 • FSSC 22000 internal auditing course March–April FSMS-6 Training confirmed • FSMS orientation (in-house) January 19, 2016 FSMS-1 Training completed April 24, 2016 • Mandatory FSMS training, reference the March–October 2019 Various Training to be completed by training matrix (internal) October 2019 • Emergency preparedness and response/­ June 2019 FSMS-4 Training to be completed by crisis management (external) June 2019 • FSMS orientation (in-house) April 24, 2016 FSMS-1 Training completed April 24, 2016 • Emergency preparedness and response/­ FSMS-5 Training to be completed by CHAPTER crisis management (in-house) June 2019 • FSMS orientation (in-house) April 24, 2016 FSMS-1 Training completed April 24, 2016 • Analytical policies and procedures September 30, 2016 LAB-1 Training completed ­September 30, 2016 • Mandatory FSMS training, reference the March–October 2019 Various Training to be completed by training matrix (internal) October 2019 5 • FSMS orientation (in-house) January 24, 2016 FSMS-1 Training completed ­January 24, 2016 • Mandatory FSMS training, reference the March–­October 2019 Various Training to be completed by training matrix (internal) October 2019 • FSMS orientation (in-house) April 24, 2016 FSMS-1 Training completed April 24, 2016 • Tank cleaning/sanitizing May 24, 2016 FSMS-10 Training completed April 24, 2016 • Dairy farm raw milk handling/testing May 24, 2016 FSMS-11 Training completed April 24, 2016 • Mandatory FSMS training, reference the March–­October 2019 Various Training to be completed by training matrix (internal) October 2019 368  ▪  FOOD SAFETY HANDBOOK Table 5.4  Food Safety Training Matrix al raw hd wit on nd l ent tro ati l, a con gem ent cal ne ing ste ori re na e ygi er y age ess ty, wa ma ty al h e liv roc b ili afe tor g d en in an P on cea dp dd ds ds erg CC an t s Foo Foo Foo Foo Pes Tra Per Cle HA A ll Job title Managing director M M M M M M M M M M Food safety manager M M M M M M M M M M Hygienist/microbiologist M M M M M M M M M M Milk processing manager M M M M M M M M M M Laboratory manager M M M M M M M M M M Warehousing manager M M M M M M M M M M Engineering manager M M M M M M M M M M Maintenance manager M M M M M M M M M M Logistics manager M M M M M M M M M M Laboratory technician M M M M M M M M M M Food handler M M M M M M M M M M Transport driver M M M M M M M M M M Note: M = mandatory; O = optional; N/A = not applicable. 5 CHAPTER O M M M M M M N/A N/A N/A N/A N/A Ma int ena nce O O M M M M M M N/A N/A N/A N/A Ca lib r ati on M M M M M M M M M M M M FSM Sp olic ie s an d O O M M M N/A N/A N/A N/A N/A N/A N/A An pro aly ce du tica res l po lici O O O M M M M M M M es N/A N/A HA an CC dp Pv roc eri edu fica res tio M M M M M M M M M M M M Do na cum n dv ent alid con ati tro on M M M M M M M M M M M M Re l cor dc on tro l M M M M M M M M M M M M Em erg cris enc is m y pr an ep O O M M M M M M M M M M age ared Foo me n dd nt ess an efe d nse an O O O O O O M M M M M M Co d fo nsu od me fra r co ud mp O O O M M M M M M M M M Co lain mm tm un an ica age tio me ns nt O O O O O M M M N/A N/A N/A N/A Int ern al a ud itin g M M M M M M M M M N/A N/A N/A FSM Sm an age me nt rev ie w Food Safety Training   ▪  369 5 CHAPTER 370  ▪  FOOD SAFETY HANDBOOK Table 5.5  Food Safety Training and Development Matrix al raw hd wit on nd l ent tro ati l, a con gem ent cal ne ng ste re ori na e ssi ygi er y age ty, wa ma ty e al h e liv b ili roc afe tor g d en in an P cea on dp dd ds ds erg CC an t s Foo Foo Foo Foo Tra Pes Per C le HA A ll Job title Managing director                   N/A Food safety manager                     Hygienist/microbiologist                     Milk processing manager                     Laboratory manager                     Warehousing manager                   N/A Engineering manager                     Maintenance manager                     Logistics manager                   N/A Laboratory technician                     Food handler                   N/A Transport driver                   N/A Note: = completed; = planned; = overdue; N/A = not applicable. 5 CHAPTER Ma int ena nce Ca lib r                         ati on FSM Sp       olic ie s N/A N/A N/A N/A N/A N/A N/A N/A N/A an An d pro aly ce du                 tica l po res N/A N/A N/A N/A lici es an HA CC d pro                         Pv ce eri du fica res tio Do n an cum d                         ent val ida con tio tro n Re l co                         rd c on tro Em l erg cris ency                         is m pre an p age ared Foo m n ent ess a dd nd                         efe nse an Co d fo nsu od fra                         me ud r co mp Co lain mm tm an               un age ica me tio N/A N/A N/A N/A N/A ns nt Int ern                   al a ud itin N/A N/A N/A g FSM Sm an age me nt rev ie w Food Safety Training   ▪  371 5 CHAPTER 372  ▪  FOOD SAFETY HANDBOOK References Defelice, Robyn A. 2018. “How Long to Develop One Hour of Training? Updated for 2017.” Insights (blog), January 9. https://www.td.org/insights/how-long-does-it-take-to-develop-one-hour-of-training-updated-for-2017. Kirkpatrick, Donald L. 1959. “Techniques for Evaluating Training Programs.” Journal of American Society of Training Directors 13 (3): 21–26. ———. 1994. Evaluating Training Programs. San Francisco: Berrett-Koehler Publishers. Norris, Thomas D. 2002. “The Seven Attributes of an Effective Records Management Program.” Publication 61, Government Records Services, New York State Archives, State Education Department, University of the State of New York, Albany, NY. Phillips, Jack J. 1997. Return on Investment in Training and Performance Improvement Programs. Houston: Gulf Professional Publishing. 5 CHAPTER CHAPTER 6 Guidance for FBO Management 374  ▪  FOOD SAFETY HANDBOOK Introduction business This chapter provides an overview of the responsibilities of the executive management teams of food ­ operators (FBOs). It covers food safety policy, commitment, and resources, and the management review, including the decisions, actions, and follow-up required to maintain and enhance an effective food safety management system (FSMS). The chapter supplies information on two important management resources. First is a publication of the International Finance Corporation (IFC), “Investing Wisely in Food Safety: How to Maximize the Benefits and Reduce Costs” (IFC 2015), that outlines the benefits, challenges, and lessons learned by FBO executive management teams in addressing food safety. It is a good store of knowledge and experience for executive management teams that are considering the adoption of an FSMS. Second is the Global Markets Program of the Global Food Safety Initiative (GFSI) and the International Trade Centre, which produces a downloadable checklist that enables FBO executive management teams to gauge the maturity of their FSMSs quickly and use the output to identify the gaps in their systems relative to GFSI standards or other food safety manage- ment schemes they may be considering.1 The IFC Food Safety Foundation Course and the IFC Food Safety Handbook Training Course explain and make these two resources available (chapter 5). Both resources should be reviewed by any FBO executive management team considering the adoption of an FSMS. If the FBO is targeting Food Safety System Certification (FSSC) 22000, it is best to start with the GFSI Global Markets Program, which implements an approach similar to the FSSC, but which adds two extra ini- tial steps whereby the FBO’s FSMS can already be audited and a conformity statement can be issued before engaging in the full FSSC 22000 process.2 Also useful are the two toolkits contained in this chapter, a management review toolkit and a cost of non- quality toolkit. The additional guidance they provide can help FBOs determine their strengths and weaknesses in management as well as the cost of failed products and other quality issues that affect an FSMS, thereby confirming the financial and other sorts of benefits deriving from proper FSMS implementation and execution. Food safety policy An FBO policy is a statement of intent. It is implemented as a procedure or protocol by an FBO. An FBO food safety policy is generally established and adopted by management, typically on the recommendation of the food safety manager. It is presumably compatible with the strategic direction of the organization. The concept of food safety should be embedded in every organizational feature of an FBO. All aspects of the FBO’s FSMS should thus be covered by and consistent with relevant FBO food safety policies and business processes. International FSMS schemes all require an organization to establish and implement flawlessly relevant food safety policies. The key characteristics these international schemes and food safety assessors and auditors might expect to find on examining the food safety policies of an FBO are as follows: (1) the policies should be established, adopted, and communicated by FBO management; (2) they should clearly set out management’s aspirations and expectations in food safety; (3) they should address and satisfy the defined requirements of the food safety scheme adopted by the FBO; and (4) they should be consistent with the FBO’s food safety objectives and regulatory and legal obligations. According to the ISO 22000:2018 food safety standard developed through the International Organization 6 for Standardization (see ISO 2018), top management should establish, implement, and maintain a food safety policy that (1) is appropriate to the purpose and context of the organization; (2) provides a framework ­ CHAPTER for setting and reviewing the FSMS objectives; (3) includes a commitment to satisfy applicable food safety requirements, including statutory and regulatory requirements and mutually agreed customer requirements; Guidance for FBO Management   ▪  375 (4) addresses internal and external communication; (5) reflects a commitment to the constant improvement of the FSMS; and (6) ensures adequate organizational knowledge and capacity in food safety.3 Management must also ensure that the food safety policy is available and is maintained as documented ­ information (for example, on paper) and that it is communicated, understood, and applied at all levels within the organization. The policy should likewise be available to relevant interested parties, such as customers (product purchasers) or consumers (product users) through the FBO’s website. According to the ISO 22000:2018, the food safety policy needs to be supported by measurable objectives, that is, objectives that are specific, measurable, attainable (or achievable), realistic, and time-bound (SMART). The objec- tives should also be documented, consistent with the policy, monitored and verified, communicated to the relevant people, and maintained and updated as appropriate. In keeping with the spirit of all food safety schemes, such as BRC Global Standards, FSSC 22000, and the codes of the Safe Quality Food Institute, the primary goal is safe food. Hence, all food safety objectives should involve a reduction or elimination of food safety hazards in FBO products. Leadership and commitment As in any other type of management system, an FSMS requires the leadership and commitment of manage- ment. The establishment of an environment that encourages food safety is the responsibility of all levels of management, but particularly the highest level. Top management should always be aware that the success of the FBO depends on properly monitoring and enhancing the effectiveness of the organization’s risk control measures in guaranteeing the safety of the FBO’s products across the food chain. If management is not com- mitted to well-informed, sustained food safety as a primary objective, the goals of the company can easily shift toward other, sometimes conflicting, business objectives, particularly in less mature companies. Leadership and commitment thus imply the direct participation of management, particularly top management, in address- ing all food safety issues in an FBO. According to the ISO 22000:2018, management should exhibit leadership and commitment within an FBO or with respect to an FSMS by (1) ensuring that the food safety policies and objectives of the FSMS are established and are compatible with the strategic direction of the organization; (2) integrating the requirements of food safety management with the FBO’s business processes and business decision making; (3) securing adequate resources for the FSMS; (4) communicating within the FBO and elsewhere the importance of effective food safety management and of compliance with the food safety requirements of the FSMS, applicable statutory and regulatory requirements, and mutually agreed customer requirements; (5) evaluating and maintaining the capacity of the FSMS to achieve the intended results; (6) directing and supporting staff and others in the effort to enhance the effectiveness of the FSMS; (7) creating an environment conducive to continuous improvement; and (8) encouraging management and staff to demonstrate leadership in their areas of responsibility. The goals and outcomes of an FSMS are meant to involve impacts on law, technology, competition, markets, the economy, and the social and cultural environment as well as cybersecurity, food fraud, food defense and intentional contamination, and the knowledge and performance of local, regional, national, or international FBOs. Strong and active leadership is reinforced by the active, visible commitment of management to achiev- ing the appropriate results. FBO management should thus also undertake the following: (1) show passion and interest for food safety; (2) set targets to improve or maintain food safety; (3) maintain the FBO premises and equipment in a good state of repair that enables product production in a food safe manner; (4) ensure that staff, including management, are sufficiently trained and competent to carry out their responsibilities in food CHAPTER safety; (5) establish operational control at all levels of the organization, that is, the hazard analysis critical control point (HACCP) plan, prerequisite programs (PRPs), and operational PRP (OPRP) plans; (6) assess FBO risks thoroughly and maintain appropriate control measures; (7) institute an effective downward and 6 376  ▪  FOOD SAFETY HANDBOOK upward communication system and a regular flow of information on food safety, including, for example, performance data, such as consumer complaints and data on waste; (8) consult often on food safety matters with FBO staff and other stakeholders and communicate their concerns to the relevant actors; (9) evaluate and review the FSMS in light of audits or assessments and initiate management reviews of the FSMS (see the toolkit below); and (10) promote a culture of food safety throughout the FBO.4 To create effective management structures, it is important that any change in the FSMS, including working arrangements and personnel changes, must be evaluated for the implications for the performance of the FSMS, the availability of resources, and the reallocation of responsibilities within the FBO. Resources Resources has a reserved meaning within an FSMS. The term refers to the four types of FSMS resources in an FBO, namely, financial resources, human resources, infrastructure, and the work environment. These resources are typically controlled and supervised by management. This section examines two types of resources: finan- cial resources and human resources. The IFC has developed a useful executive management guide, “Investing Wisely in Food Safety: How to Maximize the Benefits and Reduce Costs” (IFC 2015) as an aid for FBO executive management teams that are weighing whether to design and implement an FSMS based on an HACCP plan and a relevant food safety scheme. The guide illustrates the benefits and challenges involved in this process, especially in five areas: plan- ning, financing, changing behaviors, outsourcing wisely, and typical mistakes and how to avoid them. The Global Markets Program of the GFSI and the International Trade Centre provides a downloadable checklist that enables teams to gauge the maturity of their FSMS systems quickly and use the output to identify the gaps in their systems relative to the GFSI standards or other food safety management schemes they may be considering.5 Financial resources Finance is clearly a key input at any organization. Because management controls the finances of an FBO, man- agement is responsible for ensuring the FBO has sufficient financial resources to realize its food safety policies, achieve its objectives and, especially, prevent any shortage of financing from becoming a factor in hindering the safe supply of food along the food chain. A food safety auditor examining the financing of an FBO would typically look at the role of capital expen- diture investment in preventing food safety risks across the FBO food chain and take into consideration the requirements of the relevant FSMS certification scheme. Such an auditor would also investigate the financial investment of the FBO in food safety training among all individuals working for or on behalf of the FBO. Note that a financial risk assessment does not, by itself, guarantee food safety along an FBO food chain. Human resources The most difficult challenge facing most FBOs is the need to encourage the personnel involved in the FSMS to take responsibility for their performance in ensuring food safety. Management must believe in the 6 CHAPTER Guidance for FBO Management   ▪  377 value of the FSMS and communicate this confidence to all staff and others engaged on behalf of the FBO. Management must demonstrate that all these people can contribute to the success of the FSMS and have the responsibility to guarantee food safety at all times. Management must seek to empower all to express their views on ways to improve the FBO’s efforts and take action if they spot a problem in operations that could compromise food safety. Management should thus strive to ensure that all personnel are provided with sufficient training in food safety to understand the purpose of the FBO’s food safety policies and practices and the role of each FBO staff mem- ber in supporting food safety. Management should also single out individual staff members to be responsible for ensuring that the FSMS conforms to the requirements of the FBO, reporting to management on the performance of the FSMS, forming the food safety team and nominating the food safety team leader, and designating staff with responsibility for implementing and documenting relevant initiatives. The food safety team leader is responsible for overseeing the establishment, launch, maintenance, and updat- ing of the FSMS; organizing and managing the work of the food safety team; arranging for relevant training and capacity building among the food safety team; and reporting to management on the effectiveness and suitability of the FSMS. FBO managers have additional responsibilities. Thus, line managers are required to respond to the food safety concerns of personnel in a timely manner, welcome their ideas on ways to improve the FSMS, and pass these along to top management. Line managers are also responsible for helping create a culture of food safety across the FBO. Top management must provide line managers with sufficient resources to maintain a robust FSMS and to comply fully with food safety regulations, standards, and the expectations set by the FBO, regulators and customers. Executive management and line managers must lead by example and display proper food safety practices. For most food safety auditors, the focus is training and the effectiveness of training. From the perspective of an FBO, the relevant food safety regulations and standards set the requirements, and the regulators and standards organizations provide practical advice to FBOs. The management of FBOs should therefore analyze the recommendations of these regulators and standards bodies on training in food safety. Most food safety regulators require FBOs to provide training to personnel in food safety or, if they are small operations, accept supervision. The training must be appropriate and adequate. For example, in an FBO, line managers and employees who process or serve food will need different types of training. In some cases, government authorities provide guidance on training requirements. For instance, the Food Safety Authority of Ireland has produced guides to assist FBOs with training personnel in the workplace. One of the guides supplies information on basic food safety skills that staff should be able to demonstrate within the first month of employment and information on the additional food safety skills that staff should be able to demonstrate within 3–12 months of commencing employment in an FBO (FSAI 2015). Another guide offers information on the food safety skills that should be demonstrated by managers and supervisors in food oper- ations (FSAI 2016).6 CHAPTER 6 378  ▪  FOOD SAFETY HANDBOOK Toolkits The two toolkits below are useful in gauging and guiding the management of an FBO. The first covers the management review, and the second supplies tools that may be used to reduce the costs of out-of-specification or nonquality products. Toolkit 1: Results of a sample management review Readers may benefit from an examination of the sample standard operating procedure, SOP-021, “Management Review,” in chapter 4 before proceeding through this toolkit. AGENDA The agenda or sequence of steps in the management review below includes 13 main topics, as follows: (1) actions identified during the previous management review, (2) changes affecting FSMSs, (3) performance review (site objectives 2018, human resources, supplier performance, key process performance indicators, downtime, good manufacturing practices [GMPs] and glass inspections, verification activities, consumer complaints, overview: corrective and preventive actions, and customer satisfaction), (4) effectiveness of the food safety team, (5) new statutory and regulatory requirements, (6) emergency situations and withdraw- als, (7) adequacy of resources, (8) risk and opportunity management, (9) proposed improvement activities, (10) electronic document management system (electronic DMS) performance, (11) food safety policy and documentation, (12) proposed objectives for 2019, and (13) any other business. AGENDA ITEM 1: ACTIONS IDENTIFIED DURING THE PREVIOUS ­MANAGEMENT REVIEW Table 6.1 reproduces the sample results on the actions and decisions of a previous management review. Table 6.1  Actions Identified during the Previous Management Review Action or decision Agenda point Who Due date Status All process owners to verify access to 1 All department Immediate In process the electronic DMS and be able to locate managers relevant controlled documents Establishment and confirmation of 3 Joe End February 2019 In process ­factory objectives for 2018 Establish key performance indicator 3 Joe End February 2019 In process scorecard 2018 and align with factory objectives 2018 and key process descrip- tion performance indictors Align factory objectives 2018, and key 3 Joe, Mary, and End February 2019 In process performance indicator scorecard Natia Industrial performance coordinator to 3 Natia to discuss End February 2019 In process publish status of factory objectives, key and agree on performance indicator scorecard, months process with Lisa 6 Factory risk register to be established 3 Natia to discuss End February 2019 In process CHAPTER to manage risks associated with the and agree on attainment of factory objectives and key process with Lisa performance indicators continued Guidance for FBO Management: Toolkit 1 Results of a sample management review   ▪  379 Table 6.1  (Continued) Action or decision Agenda point Who Due date Status FSMS PRP development project plan to be 3 Mary End January 2019 In process created and published following comple- tion of the gap analysis Improve the quality of management 3 Mary and Mike End February 2019 In process review data and presentation Ownership of process for collection and 3 Natia to discuss End February 2019 In process analysis of management review presenta- and agree on tion pack (this document) to be managed process with Lisa by industrial performance coordinator Improvement plan to be developed for 3 Joe and Henry End February 2019 In process downtime (total) Improvement plan to be defined and doc- 3 Mike and Frank End February 2019 In process umented to improve downtime (total) Improvement plan to be developed to 3 Joe End February 2019 In process reduce consumer complaints associated with packaging and maintenance Improvement plan to be developed to 3 Joe End February 2019 In process reduce variation in GMP inspection results Improve cycle time for closure of noncon- 3 Department End February 2019 In process forming and corrective and preventive managers and action to under 30 days Joe Manager and supervisor development pro- 3 Jack, Sheila, End February 2019 In process gram to be introduced to ensure supervi- Mary, and Joe sors actively coach, mentor, and supervise associates with operational control FSMS Development plan, including hiring of 3 Sheila End January 2019 In process food safety resources to be implemented to ensure the sustainability of FSMS Implementation plan to be developed for 3 Natia to discuss End February 2019 In process FSMS following initial stage 1 audit and agree on process with Lisa Implementation plan to be developed for 6 Joe and Mary End January 2019 In process FSMS following initial stage 1 audit FSMS visualization performance to be 6 Process owners, End February 2019 In process introduced in all operational areas Joe, and Mary Schedule February and May 2019 manage- 7 Joe and Mary End January 2019 In process ment review meetings in leadership team diaries Microlaboratory construction and 7 Jack and Sheila End February 2019 In process upgrade to be completed CHAPTER 6 380  ▪  FOOD SAFETY HANDBOOK AGENDA ITEM 2: CHANGES AFFECTING FSMSs The following are highlights of the findings on any changes that may affect the FSMS. The findings are the results of the analysis during the sample management review. ▪▪ The core discipline standard, namely, FSSC 22000, will be undergoing a major change in September 2019. The timetable for the changes will not begin until March 2019 when the draft international standard versions will be published. ▪▪ Planned changes as a result of changes in the U.S. Food Safety Modernization Act (FSMA) will require key changes in the FSMS DMS. ▪▪ The trees at the rear of the factory are becoming so big that it is easy for people to climb a tree and get over the fence. The FBO should look into trimming or cutting the trees. ▪▪ The predicted quality of this year’s sunflower oil is lower than normal. This might give rise to adulteration issues. ▪▪ The FBO is receiving a growing number of phishing emails. It is strongly suggested that the cybersecurity awareness program be relaunched among all employees. AGENDA ITEM 3: PERFORMANCE REVIEW Site objectives 2018 Table 6.2 supplies sample results of the analysis of the site objectives of an FBO. Table 6.2  Performance Review: Site Objectives, 2018 FG Indicator Jan Feb Mar Apr May Jun Jul 1 Cases produced, number 428,157 377,311 442,489 443,016 444,102 419,861 454,705 2 Cases produced, % of budget 121.7 109.7 107.2 81.3 88.0 96.3 97.0 3 Cases produced, per employee hour 32.82 32.86 34.70 31.14 31.81 33.07 33.37 4 Operational downtime, hours 18.64 21.05 20.26 20.96 19.25 19.69 19.28 5 Mechanical downtime, hours 7.41 10.14 7.88 6.77 9.49 9.06 9.45 6 3 liter line efficiency, tonnes 596 571 608 624 582 605 610 7 Overhead, cost per case, $ 3.68 3.71 3.32 3.22 3.49 3.10 3.06 8 Raw material yields, % 97.73 99.00 98.40 99.06 98.56 99.46 98.32 9 Warehouse cases shipped, per employee hour 127.92 152.54 157.57 170.25 154.03 152.36 164.08 10 On-time and complete shipments, % 96.08 96.88 98.80 95.87 95.66 97.17 96.11 11 Obsolete, damage, defects, rework, packed product (35,060) (23,215) (18,123) (47,731) (36,845) (23,754) (31,871) 12 Injury frequency, individuals 3 0 0 0 0 0 0 13 Sanitation score, % 83.0 85.0 82.0 90.0 85.0 90.0 92.0 14 Customer complaints, number 2 7 3 7 24 2 11 6 Performance matrix index CHAPTER Base 300 300 300 300 300 300 300 Score, month 454 623 730 714 605 707 702 Note: FG = factory goal; YTD = year to date. Guidance for FBO Management: Toolkit 1 Results of a sample management review   ▪  381 Human resources Table 6.3 illustrates selected results on employees that were produced during the sample management review. Table 6.3  Performance Review: Employees, 2018 Indicator Unit Target Nov Dec Training completion % of employees 80 63 59 Employee turnover Number of employee terminations, % <5 — — Employee engagement % of employees responding favorably (4 or 5 on a 5-point 81 — — index scale) to the engagement dimension questions in the company survey Note: — = not available. Supplier performance The following illustrate the findings on supplier performance produced through the analysis during the sample management review. ▪▪ Among the suppliers, 85 percent have caused no issues and have delivered in full and on time. The packaging supplier is responsible for 12 percent of the issues, followed by the supplier of whey powder. The packaging supplier is still struggling to deliver in full. On average, this supplier provides 10 percent less input because of production issues on their end. The FBO aims to cope in Aug Sep Oct Nov Dec YTD Budget Base Goal Change, YTD, % 493,307 440,600 371,886 254,463 0 4,569,897 4,844,254 93.9 100.2 94.8 59.9 0.0 94.3 33.01 31.65 29.24 32.36 33.99 35.00 4.80 20.80 17.58 19.00 20.02 20.28 19.71 19.67 15.00 0.20 6.19 8.57 8.74 11.24 9.04 8.52 5.78 5.45 47.40 616 594 558 597 550 600 8.55 3.48 3.38 3.98 4.13 3.43 3.93 3.93 3.85 12.72 99.78 99.26 96.82 98.69 98.00 98.17 98.50 0.53 138.06 138.45 136.44 148.62 143.68 158.00 3.44 97.72 95.78 97.12 96.70 87.77 97.00 10.17 (137,756) (131,741) (111,398) (59,749) (59,545) (53,590) 0.34 1 0 2 0 1 0.58 0.67 0.47 12.94 81.0 89.0 86.0 90.0 86.64 86.25 90.00 0.45 9 3 7 4 7.18 13.50 12.15 46.80 CHAPTER 300 300 300 300 300 300 458 563 250 2412 519 565 1,000 6 382  ▪  FOOD SAFETY HANDBOOK the short term by maintaining a larger amount of stock. The same supplier also exhibits a strong seasonal drop in the top-load strength of the container cases because of high moisture levels. ▪▪ The FBO is currently investigating the opportunity to use a summer version and a winter version of the container cases to ensure that collapsing cases are no longer an issue. ▪▪ The whey powder supplier has had problems with Clostridium botulinum. FBO management believes this is linked to structural issues in their spray drying tower. Hence, FBO management is in the process of engaging an alternative supplier. Key process performance indicators sample Table 6.4 illustrates selected results on key process performance indicators that were gauged during the ­ management review. Table 6.4  Performance Review: Key Process Performance Indicators, 2018 Unit responsible Target Nov YTD Indicators Definition for measurement value value value Master schedule Planned orders vs. actual Planning 80 72 72 attainment, % production Case fill rate, % Cases delivered vs. cases ordered Warehouse 99 99 99.61 Stock cover Number of calendar days for Planning 3.5 4 4.5 fi ­ nished goods at month end weeks weeks weeks vs. the demand plan for the ­following months Obsolescence, Value of material past the shelf Planning <31,000, — 59,749 value, € life date and due to be written per month off, related only to plants Downtime because Unplanned stoppages, % of net Production 0.00 0.00 0.00 of lack of supplies, % production hours manager Line performance, % Stoppage, downtime, % of net Production 20 20 19.67 production hours manager Case fill rate, % Cases shipped vs. cases ordered Warehouse 99 99 99.61 Inventory count Physical count vs. actual count Warehouse 92 — — accuracy, % x 100 Order fill rate, % Order filled vs. total orders Warehouse 95 — 97 Note: — = not available; YTD = year to date. Downtime Figure 6.1 shows the results on monthly downtime that were revealed during the sample management review. 6 CHAPTER Guidance for FBO Management: Toolkit 1 Results of a sample management review   ▪  383 Figure 6.1  Performance Review: Monthly Downtime, by Type, 2018 , Reported downtime, minutes , , , , , , , Jan Feb Mar Apr May Jun Jul Aug Sep Oct Nov Dec Operational downtime Mechanical downtime Efficiency loss GMPs and glass inspections The main observations during the GMP rounds include the following (figures 6.2 and 6.3): ▪▪ No broken glass was found during the glass inspection rounds in 2018. ▪▪ Two sets of labels were observed at the line at the same time. ▪▪ The cleaning performance of the dosing systems was improper. ▪▪ Hand hygiene performance in high care was under par. ▪▪ The level of mosquito infestation was high in the warehouse because of standing water at the back. ▪▪ Maintenance staff leave behind a substantial amount of debris after production activities. Figure 6.2  Performance Review: GMP Figure 6.3  GMP Inspection Scores, Findings, by Type, January–November 2018 January–­November 2018 percentage of nonconformities E. Storage and 94 distribution 92 13% 90 D. Cleaning A. Operational 88 practices methods and 12% 86 Percent personnel practices 84 C. Pest 42% 82 management 7% 80 78 76 B. Maintenance and repair 74 26% Jan Feb Mar Apr May Jun Jul Aug Sep Oct Nov Dec Verification activities CHAPTER The following are selected findings on the performance in verification activities produced during the sample management review. Findings on HACCP: ▪▪ Scheduled annual review performed on July 10, 2018 6 384  ▪  FOOD SAFETY HANDBOOK ▪▪ Unscheduled HACCP verification review because of an OPRP failure on March 9 (metal detector) and October 10, 2018 ▪▪ New products added: super milk, semiskim milk, organic milk, orange juice Findings on new projects: ▪▪ FBO ongoing initiative to add ethylenediaminetetraacetic acid to formulas containing sodium benzoate. ▪▪ New hazards: A warning was issued by the U.S. Food and Drug Administration (FDA) on carbendazim in orange juice; there was a subsequent FDA release based on the conclusions of the preliminary risk assessment of the U.S. Environmental Protection Agency that the consumption of orange juice with carbendazim at the low levels that had been reported did not raise safety concerns. Finding on PRPs: ▪▪ The transfer to a format approved by the FBO is in progress; the due date is January 31, 2019. Finding on the FSMS: ▪▪ The FSMS verification checklist has been assessed. The closure of gaps is in progress; the due date is to be announced. Consumer complaints Figure 6.4 describes the number and the share of consumer complaints by type that were found during the sample management review. Figure 6.4  Performance Review: Consumer Complaints, Number and Share, by Type, 2018 Texture lumpy (1) Texture Wrong product sent (1) 1% too thick (3) 1% Bloated container 4% Packaging error (2) (not spoiled) (1) 2% 1% Other (6) 7% O -odor (2) 2% O -flavor (7) 9% Damaged packaging/leaker (44) 54% O -color (11) 6 13% CHAPTER Foreign material (2) 2% Dispensability (2) 2% Guidance for FBO Management: Toolkit 1 Results of a sample management review   ▪  385 Overview: Corrective and preventive actions The sample management review involved an examination of the quality of the data on corrective and preven- tive actions. It revealed that there were 17 corrective and preventive actions year-to-date (November 2018). Six were complaint related, and 11 were process or compliance related. There were five open corrective and preventive actions. Two were complaint related, and three were micro related. The average duration of cor- rective and preventive actions on micro-issues was five months. The average cycle time to close corrective and preventive actions was 30 to 45 days. Customer satisfaction The sample management review investigated customer satisfaction and found that the net promoter sales score was 32 percent. This means that, compared with its competitors in the same sector, the FBO was considered average as a supplier in the view of customers. Especially in the area of understanding customer requirements, the review concluded there was room for improvement. The FBO therefore launched a project focusing on its three largest customers. It adopted a multidisciplinary approach to managing these accounts. This involved the following: (1) sales would lead the overall account strategy and process; (2) the net promoter sales score would be used as an aid in defining new concepts in terms of approaching the customer; (3) quality assurance would become part of the monthly analysis of product quality performance; (4) logistics would be a center of the monthly discussion on the performance in product delivery; and (5) all the departments participating in these issues will become part of a wider internal team, including production, purchasing, and product main- tenance, to enhance the customer experience. AGENDA ITEM 4: EFFECTIVENESS OF THE FOOD SAFETY TEAM An analysis of the effectiveness of the food safety team was undertaken as part of the sample management review. The analysis concluded that the management of change process was functioning well and that the food safety team had been involved in all changes occurring on-site. It was expected that the Food Safety Modernization Act (FSMA) in the United States would introduce two important rules during 2019, namely, rules on food defense and rules on the importation of raw materials, ingredients, and packaging from coun- tries outside the United States. The main priority within the FBO currently is to establish a formal and systematic system for managing compliance with client technical standards. The plan is to introduce a new software-as-a-service distribution model to allow a third-party provider to host applications and offer them to customers over the Internet. The service would be provided as a tool to assist with the management of statutory and regulatory compliance. AGENDA ITEM 5: NEW STATUTORY AND REGULATORY REQUIREMENTS The national food safety authorities have sharpened the rules for the management of Listeria monocytogenes in ready-to-eat food. They now require the following: (1) more tests on certain classes of finished products, including five tests per 25 grams of product instead of one test on 25 grams; (2) new procedures for deter- mining product shelf life, including storage at different temperatures during the shelf life test to reflect tem- peratures across the entire cold chain (warehouse–retail–consumer); and (3) the food safety authorities were to start actively checking on this in mid-2019. In the European Union (EU), meanwhile, a new regulation on official controls came into force on December 14, 2019; however, there was no immediate impact on the processes of the FBO. AGENDA ITEM 6: EMERGENCY SITUATIONS AND WITHDRAWALS CHAPTER In 2018, the FBO experienced one product withdrawal because of the presence of Escherichia coli in finished products. In total, 118 tons of product was retrieved from the market. The retrieval cost $47,000 in additional shipping costs, and the FBO lost a total sales value of $523,000 because of the issue. If the problem would have been detected sooner, the expenses might have been lower in terms of lost product and costs. The root 6 386  ▪  FOOD SAFETY HANDBOOK cause was a nonproper execution of the manual cleaning process of the (manual) product dosing valve. As a solution, the manual valve was replaced by an automatic valve, which is connected to the clean-in-place system. The new cleaning step has been properly validated. ­ As a side benefit, additional exploration revealed that two other locations on site relied on similar valves. These will be replaced in the short term. AGENDA ITEM 7: ADEQUACY OF RESOURCES FBO management needs to hire a new food safety team leader. This is a mandatory position. The annual salary will be $15,000–$25,000 depending on experience. The roles of manager and supervisor and the relevant levels of active engagement with the FSMS need to be clarified. To accomplish this, the following steps will be undertaken: (1) one full day of training on the corre- sponding issues among all managers and supervisors, (2) inclusion of a detailed list of responsibilities in the job descriptions of managers and supervisors, and (3) the institution of a requirement that each manager and supervisor must register an additional hour of FSMS-related activity per day. Given the rate of change in the FSMS, the FBO had to invest in product information management software at a cost of $10,000. The metal detectors were old and often broke down. The FBO therefore needed to invest in three new metal detectors in 2019. This represented a total investment of $120,000. The roof of the headquarters building needed maintenance. There were several leaks during heavy rains. The estimated repair costs were $17,000. AGENDA ITEM 8: RISK AND OPPORTUNITY MANAGEMENT The FBO anticipated there would be strikes among cleaning staff because of the negotiations on a new union contract. To avoid downtime, the FBO could engage a third-party cleaning company to bridge the gap. This would cost an additional $5,000 per week, which is low compared with the $17,500 per day cost of downtime. The FBO has been given the opportunity to make a pitch for a sales volume of $7.5 million with the biggest customer in the U.S. market. A dedicated team was installed in preparation. If the FBO were able to secure the account, it would be operating at close to maximum capacity. So, it had to establish a second team to evaluate the opportunity to raise capacity in the short to medium term and ensure it could meet the new customer’s requirements if it succeeded in making the deal. The initial estimate was that the FBO would need to install a new production line, at a total cost of $457,000. AGENDA ITEM 9: PROPOSED IMPROVEMENT ACTIVITIES The FBO proposed the establishment of two fresh FSMS management reviews during 2019 to ensure it remained on top of all the planned changes. The reviews would occur in February 2019 (prior to the FSSC 22000 stage 1 audit) and May 2019 (prior to the FSMS stage 2 audit). This would involve one day of extra commitment by management. More active communication on GMP topics would be called for during monthly staff sessions to increase GMP awareness. This would require no additional staff time. 6 Added mandatory discussions on the GMP was to be included among safety issues during each team meeting in all departments. This would require no additional staff time. CHAPTER ­ anagers, As the FBO prepares for the initial stage 2 audit, the active participation of and communication with m supervisors, and associates will be critical. This would call for one hour per week for six weeks among all managers and supervisors. Guidance for FBO Management: Toolkit 1 Results of a sample management review   ▪  387 Training will be required among internal auditors on the provision of feedback and input to executive man- agement and department managers. This is a key routine requirement that forms part of the FSMS improve- ment process. The estimated cost will be $3,000. AGENDA ITEM 10: ELECTRONIC DMS PERFORMANCE The performance of the electronic DMS and related training is within an acceptable average. In 2018, 124 of 379 documents were reviewed. The process was on time in the case of 80 percent of the documents. The delay was less than one month in the case of 10 percent of the documents, one to two months for 6 percent of the documents, and over two months for 4 percent of the documents. Table 6.5 illustrates compliance with the training program on the updated and new document procedures among staff, by department. Table 6.5  Training Compliance, New and Updated Document Procedures, by Duration of the Training percent Department < 1 month 1–2 months 2–3 months 3–6 months 6–12 months Warehouse 19 33 53 67 89 Production 5 22 23 33 44 Maintenance 17 31 43 61 78 Quality assurance 17 40 63 71 78 Human resources 2 13 28 31 53 Finance 3 4 22 25 50 Planning 24 48 58 65 69 Sales 9 27 35 53 78 Information technology 15 16 21 33 48 AGENDA ITEM 11: FOOD SAFETY POLICY AND DOCUMENTATION The first draft of the FSMS manual was produced based on Annex SL (see ISO and IEC 2018) and the publicly available specification PAS 99:2012 (BSI Group 2012). It covers the FSMS, with the option for an extension to the ISO/IEC 17025 standard on laboratories (see ISO and IEC 2017). In particular, it addresses all FSMS process descriptions in the electronic and the published DMS, all core FSMS core procedures in the electronic DMS, and all current job profiles in the electronic DMS. All FSMS process owners need to become masters in the use of the electronic DMS. As the FBO rolls out the implementation of the FSMS, awareness sessions for managers, supervisors, and associates will become essential. The FBO will also need to review and upload all other FSMS documentation into the electronic DMS during the first half of 2019. CHAPTER No changes have been proposed in FSMS policies. AGENDA ITEM 12: PROPOSED OBJECTIVES FOR 2019 Table 6.6 summarizes the achievements of the FSMS in 2018 and the targets for 2019. 6 388  ▪  FOOD SAFETY HANDBOOK Table 6.6  Achievements of the FSMS in 2018 and Targets for 2019 Item 2018 actual 2019 target Sales volume, up to 650,000 units $49,500,000 $59,000,000 Cases produced, per employee hour 36 40 Operational downtime, % 15 <10 Overhead cost, per case $4.25 <$3.75 Raw material yields, % 92 >98.50 Warehouse cases shipped, per employee hour 141.32 >165.00 On-time and complete shipments, % 87 >98 Obsolete, damage, defects, rework, value lost $412,132 <$40,000 Injury frequency, % of personnel 0.73 <0.45 Sanitation score, % 92 >95 Consumer complaints, per ton 16 <10 Net profit $3,562,456 >$6,500,000 AGENDA ITEM 13: ANY OTHER BUSINESS The quality assurance manager is taking a long leave in the summer of 2019. FBO management plans to assign the assistant quality manager to the manager position temporarily to ease any disruptions in FSMS operations. This will be communicated during all monthly departmental meetings in May 2019. 6 CHAPTER Guidance for FBO Management: Toolkit 2 The cost of nonquality   ▪  389 Toolkit 2: The cost of nonquality The second toolkit presented in this chapter is designed to assist FBO management to gain a broader grasp of the costs involved in nonquality. The management and personnel at many organizations do not possess a sufficiently deep understanding of the drivers of the costs of nonquality and thus base their views on the ini- tiatives required to achieve progress and measure effectiveness on limited information. Among the several factors involved in determining the costs of nonquality, four main issues may be highlighted: (1) internal problems, such as blocked stock, products that are to be reworked, scrapped products, and degraded products; (2) complaints, such as customer complaints or consumer complaints; there is a distinction between complaints related to food safety and other complaints; (3) severe issues, such as complaints related to food safety that are escalated by the customer or consumer and lead to intervention by food safety authorities; while these are still complaints, they may well result in a recall; and (4) recalls and withdrawals. Explanations and descriptions of improvement activities routinely place areas with the highest incidence or frequency at the top of any list of statistics or priorities. For instance, consumer complaints related to product flavor might be at the top of such a list because these sorts of complaints are typically the most numerous. However, the incidence or frequency of issues does not necessarily mean that the corresponding financial impact on an FBO is of the same order of magnitude as the financial impact of other issue characteristics. Thus, complaints related to product flavor might be the most numerous and frequent, but addressing them costs far less than dealing with microbiological complaints related to illnesses among consumers. The latter might even result in a product recall. To make the best use of FBO resources, management should base deci- sions on data on the costs of nonquality, thereby obtaining valuable insight into the returns on the related investments in improvements and facilitating clearer and more transparent decision making on improvement projects. To gain a more precise understanding of the costs of nonquality, a costing model based on standard costs, historical performance, and financial data broken down by issue categories should be more revealing than an elaborate activity-based costing model. The former model could be structured according to the following costs: (1) the average cost for not first time right products, (2) the average cost per complaint, (3) the average cost to right a serious issue, and (4) the average cost of a recall (table 6.7). CHAPTER 6 390  ▪  FOOD SAFETY HANDBOOK Table 6.7  The Cost of Nonquality, Current Year Cost item Unit Owner Jan Feb Mar Not first time right            Not first time right production runs, batches Number Production Still good products due to not first time right kg QA Rework due to not first time right kg QA Degraded product due to not first time right kg QA Scrapped product due to not first time right kg QA Product: no decision taken (on hold) due to not first time right kg QA Complaints Faults detected by producer Number QA Customer complaints Number QA Consumer complaints Number QA Still good product due to complaints kg QA Rework due to complaints kg QA Degraded product due to complaints kg QA Scrapped product due to complaints kg QA Product: no decision taken (on hold) due to complaints kg QA Return shipments Number Operations Cost of return shipments (transport, plus handling) $ Operations Replacement shipments Number Operations Product in replacement shipments kg Operations Cost of shipping replacement product (excluding product costs) $ Operations Credit notes Number Operations Value of credit notes $ Operations Rebates, penalties Number Operations Value of rebates, penalties $ Operations Additional audits because of complaints Number QA QA travel costs for the last year in relation to customer complaints $ Finance QA travel time for the last year in relation to customer complaints Hours QA Sales-related travel costs for the last year in relation to customer $ Finance complaints Sales travel time for the last year in relation to customer Hours Sales       complaints Other mitigation costs due to complaints $ Sales       6 Severe issues CHAPTER Severe issues Number QA       Still good product due to severe issues kg QA       Rework due to severe issues kg QA       Guidance for FBO Management: Toolkit 2 The cost of nonquality   ▪  391 Apr May Jun Jul Aug Sep Oct Nov Dec Q1 Q2 Q3 Q4 Total                                                                                     CHAPTER                                                                                     6 continued 392  ▪  FOOD SAFETY HANDBOOK Table 6.7  The Cost of Nonquality, Current Year (Continued) Cost item Unit Owner Jan Feb Mar Severe issues (continued) Degraded product due to severe issues kg QA       Scrapped product due to severe issues kg QA       Product: no decision taken (on hold) due to severe issues kg QA       Return shipments Number Operations       Cost of return shipments (transport, plus handling) $ Operations       Replacement shipments Number Operations       Product in replacement shipments kg Operations       Cost of shipping replacement product (excluding product costs) $ Operations       Credit notes Number Operations       Value of credit notes $ Operations       Rebates, penalties Number Operations       Value of rebates, penalties $ Operations       Additional audits because of complaints Number QA       Production runs rescheduled Number Production       Additional costs because of production after suboptimal planning $ Production       Compensation paid to customer as margin compensation $ Sales       Loss of turnover (until year end) due to customers leaving because $ Sales       of severe issues Cost of external experts (laboratories and so on) $ QA       QA travel costs for the last year in relation to customer severe $ Finance       issues QA travel time for the last year in relation to customer severe Hours QA       issues Sales-related travel costs for the last year in relation to customer $ Finance       severe issues Sales travel time for the last year in relation to customer severe Hours Sales       issues Other mitigation costs due to severe issues $ Sales Recalls Recalls Number QA Still good product due to recalls kg QA Rework due to recalls kg QA 6 Degraded product due to recalls kg QA Scrapped product due to recalls kg QA CHAPTER Product: no decision taken (on hold) due to recalls kg QA Return shipments Number Operations Cost of return shipments (transport, plus handling) $ Operations Guidance for FBO Management: Toolkit 2 The cost of nonquality   ▪  393 Apr May Jun Jul Aug Sep Oct Nov Dec Q1 Q2 Q3 Q4 Total                                                                                                                                                                                                                                                                                                                                                                                                                                                                                                                                                                                                                                         CHAPTER 6 continued 394  ▪  FOOD SAFETY HANDBOOK Table 6.7  The Cost of Nonquality, Current Year (Continued) Cost item Unit Owner Jan Feb Mar Recalls (continued) Replacement shipments Number Operations Product in replacement shipments kg Operations Cost of shipping replacement product (excluding product costs) $ Operations Credit notes Number Operations Value of credit notes $ Operations Rebates, penalties Number Operations Value of rebates, penalties $ Operations Additional audits because of complaints Number QA Production runs rescheduled Number Production Additional costs because of production after suboptimal planning $ Production Compensation paid to customer as margin compensation $ Sales Loss of turnover (until year end) due to customers leaving because $ Sales of recalls Cost of external experts (laboratories and so on) $ QA QA travel costs in relation to customer recalls $ Finance QA travel time in relation to customer recalls Hours QA Sales-related travel costs in relation to customer recalls $ Finance Sales travel time in relation to customer recalls Hours Sales Other mitigation costs due to recalls $ Sales Additional advertising costs due to public recalls $ Sales Margin loss due to (temporary) stop of sale of product(s) $ Sales Margin loss due to (temporary) closure of production (due to the $ Sales authorities) Margin loss due to customers walking out $ Sales Margin loss due to market access restrictions in other countries $ Sales Note: QA = quality assurance. Editable work sheets and templates can be found at http://www.ifc.org/foodsafety/handbook/templates. The subsections below supply an overview of the typical building blocks in related costs that should be factored in based on the last one to three years of financial information available to the FBO to derive a ­ ­ standard cost for each type of cost. To determine priorities and assess the impact of improvement activities, FBO ­management would then multiply the standard cost by cost or issue type by the associated incidence rate to gauge the approximate cost of resolving an issue. 6 NOT FIRST TIME RIGHT PRODUCT CHAPTER A not first time right product is a product that has a quality defect after production that (1) can still be corrected or reworked to make it a quality product after all; (2) has been degraded to, for example, animal ­ feed; or (3) has been scrapped because it cannot be sold or fixed. Guidance for FBO Management: Toolkit 2 The cost of nonquality   ▪  395 Apr May Jun Jul Aug Sep Oct Nov Dec Q1 Q2 Q3 Q4 Total Data on the following should be gathered to derive a typical cost for a not first time right product: total amount of product produced (kg or liter); total product cost, consisting of raw material and packaging material costs and manufacturing costs (labor, machine depreciation, and indirect manufacturing costs); num- ­ ber of production runs or batches per year; total number of hours spent by quality assurance on product release per year; total number of hours spent by quality control on the product release per year; total quality CHAPTER assurance expenses for product release per year; total rework costs; average price difference between a nor- mal product and a degraded product; total scrapping costs (excluding product); warehouse storage costs per pallet per day (if pallets are not used, use warehouse product storage locations); average weight or volume pallets are not used, use warehouse product storage locations); total amount of rework last year per pallet (if ­ (if not available, take 5 percent of the overall product volume); total amount of degraded product last year 6 396  ▪  FOOD SAFETY HANDBOOK (if not available, take 0 percent if degradation does not occur and take 5 percent if it does occur); total amount of scrapped product last year (if not available, take 1 percent of the overall product volume); total quality con- trol expenses for the last year (excluding personnel cost); average hourly rate quality assurance department; number of hours per year spent by quality assurance on product release; average hourly rate, quality control department; number of hours per year spent by quality control on product sampling, analysis, and data entry; and average amount of product on hold per year over the last three years. COMPLAINTS Data on the following should be collected to derive a typical cost for complaints: total amount of rework last year due to complaints; total amount of degraded product last year due to complaints; total amount of scrapped product last year due to complaints; average hourly rate, sales department; number of hours per year spent by sales on complaint-related issues; average hourly rate, operations department; number of hours per year spent by operations on complaint-related issues; quality assurance travel costs for the last year in relation to consumer complaints; sales-related travel costs for the last year in relation to consumer complaints; return shipment costs last year; replacement product value in relation to complaints over the last year; credit notes sent last year; rebates given and penalties received last year; number of additional audits per customer in rela- tion to complaints last year; consumer-related costs (restitution, mail costs, and additional goods delivered); and average number of complaints per year over the last three years. SEVERE ISSUES Data on the following should be assembled to gauge a typical cost for severe issues: total amount of rework last year due to severe issues; total amount of degraded product last year due to severe issues; total amount of scrapped product last year due to severe issues; number of hours per year spent by sales on severe issues; number of hours per year spent by operations on severe issues; quality assurance travel costs for the last year in relation to severe issues; sales-related travel costs for the last year because of severe issues; return shipment costs last year; replacement product value in relation to severe issues over the last year; credit notes sent last year; rebates given and penalties received last year; number of additional audits per customer in relation to severe issues last year; consumer-related costs (restitution, mail costs, and additional goods delivered); number of additional audits received last year due to severe issues; estimate of costs because of rescheduling caused by severe issues last year; estimate of additional costs due to suboptimal scheduling last year; loss of turnover and related margin last year; expert advice costs in relation to severe issues last year; and average number of severe issues per year over the last three years. RECALLS Data on the following items should be gathered to come to a typical cost for recalls: total amount of rework last year due to recalls; total amount of degraded product last year due to recalls; total amount of scrapped product last year due to recalls; number of hours per year spent by sales on recalls; number of hours per year spent by operations on recalls; quality assurance travel costs for the last year in relation to recalls; sales-related travel costs for the last year in relation to recalls; return shipment costs last year; replacement product value in relation to recalls over the last year; credit notes sent last year; rebates given and penalties received last year; number of additional audits per customer in relation to recalls last year; consumer-related costs (restitution, mail costs, additional goods delivered; number of additional audits received last year due to recalls; estimate of costs because of rescheduling caused by recalls last year; estimate of additional costs due to suboptimal scheduling last year; loss of turnover and related margin last year; expert advice costs in relation to recalls 6 last year; additional advertising costs due to public recalls; margin loss due to (temporary) halt in sale of product(s); margin loss due to (temporary) closure of production (due to the authorities); margin loss due to CHAPTER customers walking out; margin loss due to market access restrictions in other countries; and average number of recalls per year over the last three years. Guidance for FBO Management   ▪  397 Notes 1. See “Global Markets: A Pathway to Certification,” Global Food Safety Initiative, Consumer Goods Forum, Levallois- Perret, France, https://mygfsi.com/how-to-implement/global-markets. 2. For more information on the link between the GFSI Global Markets Program and the FSSC 22000 process, see “Global Markets Program,” FSSC 22000, Food Safety System Certification, Global Food Safety Initiative, Consumer Goods Forum, Levallois-Perret, France, https://www.fssc22000.com/developmentprogram/. 3. Top management is the person or group who directs and controls the FBO that is being certified. If the scope of the management system covers only part of an organization, then top management refers to those who direct and control that part of the organization. The term appropriate refers to the scope of the products, food chain activities, and markets of the FBO’s FSMS. 4. These issues are discussed in detail in a report on the culture of food safety that also includes a comprehensive read- ing list (see GFSI 2018). 5. See “Global Markets: A Pathway to Certification,” Global Food Safety Initiative, Consumer Goods Forum, Levallois- Perret, France, https://mygfsi.com/how-to-implement/global-markets. 6. A wide range of training resources may be found at BiaBiz: Empowering Those Who Feed the World (database), Biabiz Limited, Garrycloyne, Blarney, County Cork, Ireland, https://www.bia-biz.com/. References BSI Group. 2012. “Publicly Available Specification: Specification of Common Management System Requirements as a Framework for Integration.” PAS 99:2012 (October), BSI Group, London. FSAI (Food Safety Authority of Ireland). 2015. “Guide to Food Safety Training, Level 1: Induction Skills, and Level 2: Additional Skills; for Food and Non-food Handlers (Food Service, Retail, and Manufacturing Sectors).” FSAI, Dublin. https://www.fsai.ie/WorkArea/DownloadAsset.aspx?id=8310. ———. 2016. “Guide to Food Safety Training, Level 3: Food Safety Skills for Management; Food Service, Retail, and Manufacturing Sectors.” FSAI, Dublin. https://www.fsai.ie/WorkArea/DownloadAsset.aspx?id=784. GFSI (Global Food Safety Initiative). 2018. “A Culture of Food Safety: A Position Paper from the Global Food Safety Initiative (GFSI).” Version 1.0 (April 11), GFSI, Consumer Goods Forum, Levallois-Perret, France. IFC (International Finance Corporation). 2015. “Investing Wisely in Food Safety: How to Maximize the Benefits and Reduce Costs.” IFC, Washington, DC. https://www.ifc.org/wps/wcm/connect/industry_ext_content/ifc​ _external_corporate_site/agribusiness/resources/investing+wisely+in+food+safety. ISO (International Organization for Standardization). 2018. “Food Safety Management Systems: Requirements for Any Organization in the Food Chain.” International Standard ISO 22000:2018(E), ISO, Geneva. ISO (International Organization for Standardization) and IEC (International Electrotechnical Commission). 2017. “General Requirements for the Competence of Testing and Calibration Laboratories.” International Standard ISO/ IEC 17025:2017(E), 3rd ed. (November), ISO and IEC, Geneva. ———. 2018. ISO/IEC Directives, Part 1: Consolidated ISO Supplement, Procedures Specific to ISO, 9th ed. Geneva: ISO and IEC. CHAPTER 6 APPENDIX A Institutions and Other Entities Involved in Food Safety 400  ▪  FOOD SAFETY HANDBOOK Table A.1  Institutions and Other Entities Involved in Food Safety State institution or other entity Internet address Asia Pacific Food Industry http://www.apfoodonline.com/ Austrian Agency for Health and Food Safety https://www.ages.at/en/ages/basics/ Austrian Federal Ministry of Agriculture, Forestry, http://www.lebensministerium.at/lebensmittel.html Environment and Water Management – Food Belgian Federal Agency for the Safety of the Food http://www.favv-afsca.fgov.be/home-en/ Chain (FASFC) Belgian Federal Public Service for Health, Food http://www.health.belgium.be/eportal/foodsafety/index​ Chain Safety and Environment – Food Safety .htm BRC Global Standards http://www.brcglobalstandards.com Bulgarian Food Safety Agency http://www.babh.government.bg/en/ CanadaGap http://www.canadagap.ca CHINA HACCP http://www.gbstandards.org/index/standards_search​ .asp?word=HACCP Croatian Food Agency https://www.hah.hr/en/ Cyprus Ministry of Agriculture, Rural Develop- http://www.moa.gov.cy/moa/agriculture.nsf​ ment and Environment /All/9638239B67CB5B93C22578A200307D00?OpenDocument Cyprus Ministry of Health – Food Safety Council https://www.moh.gov.cy/MOH/fsc/fsc.nsf/index_en​ /index_en?OpenDocument Cyprus State General Laboratory https://www.moh.gov.cy/moh/sgl/sgl.nsf/index_en​ /index_en?OpenDocument Czech Republic Ministry of Agriculture http://eagri.cz/public/web/en/mze/ Danish Ministry of Environment and Food https://en.mfvm.dk/the-ministry/ Danish National Food Institute http://www.food.dtu.dk/english Danish Veterinary and Food http://www.foedevarestyrelsen.dk/english/Food/Pages​ Administration – Food /default.aspx Estonian Ministry of Agriculture http://www.agri.ee/food-safety/ EUR-Lex - Direct free access to European Union http://eur-lex.europa.eu/en/index.htm law with full search facility EUROPA Summaries of EU legislation – Food https://europa.eu/european-union/topics/food-safety_en Safety European Commission – food hygiene legislation https://ec.europa.eu/food/safety/biosafety/food_hygiene​ page /legislation_en European Commission Directorate-General for https://ec.europa.eu/knowledge4policy/organisation​ Health and Food Safety (DG SANTE) /dg-sante-dg-health-food-safety_en European Commission Health EU Portal – Food https://ec.europa.eu/food/safety_en Safety continued Institutions and Other Entities Involved in Food Safety   ▪  401 Table A.1  (Continued) State institution or other entity Internet address European Food Information Council (EUFIC) – https://www.eufic.org/en/food-safety/ Food Safety European Food Safety Authority http://www.efsa.europa.eu/ FAO/WHO (Food and Agriculture Organization of http://www.fao.org/fao-who-codexalimentarius/home/en/ the United Nations/World Health Organization) – Codex Alimentarius Finnish Food Authority https://www.ruokavirasto.fi/en/ Finnish Ministry of Agriculture and Forestry – https://mmm.fi/en/food-and-agriculture Food and Agriculture Food and Agriculture Organization (FAO) of the http://www.fao.org/food/food-safety-quality/en/ United Nations – Food Safety and Quality Food and Drink Technology http://www.foodanddrinktechnology.com/ Food Engineering http://www.foodengineeringmag.com/ Food Processing http://www.foodprocessing.com FoodRisk.org https://www.foodrisk.org/ French Agency for Food, Environment, and Occu- http://www.anses.fr/ pational Health and Safety French Ministry of Agriculture and Food https://agriculture.gouv.fr​ /french-ministry-agriculture-and-food FSSC 22000 http://www.fssc22000.com German Federal Institute for Risk Assessment https://www.bfr.bund.de/en/food_safety-737.html (BFR) – Food Safety German Federal Ministry of Food and https://www.bmel.de/EN/Food/food_node.html Agriculture – Safe Food and a Healthy Diet German Federal Office for Agriculture and Food https://www.ble.de/EN/Home/home_node.html Global Aquaculture Alliance https://www.aquaculturealliance.org/ Global Food Safety Initiative http://www.mygfsi.com/ GlobalG.A.P. https://www.globalgap.org/uk_en/ Global Red Meat Standard https://grms.org/ GMP+ International http://www.gmpplus.org/ Hellenic Food Authority http://www.efet.gr/ Hellenic Ministry of Agriculture and Food http://www.efet.gr/ Hungarian National Food Chain Safety Office https://portal.nebih.gov.hu/ Icelandic Food and Veterinary Authority (MAST) http://www.mast.is/english/frontpage/about-mast/ International Featured Standards (IFS) https://www.ifs-certification.com/index.php/en/ continued 402  ▪  FOOD SAFETY HANDBOOK Table A.1  Institutions and Other Entities Involved in Food Safety (Continued) State institution or other entity Internet address Irish Department of Agriculture, Food and the http://www.agriculture.gov.ie/ Marine Irish Food Safety Authority http://www.fsai.ie/links.html ISO, the International Organization for http://www.iso.org Standardization Italian Istituto Superiore di Sanità (ISS) http://old.iss.it/index.php Latvian Veterinary and Food Department https://www.zm.gov.lv/en/statiskas-lapas/zemkopibas- ministrija/statiskas-lapas/veterinary-and-food​ -department?id=4226#jump Lithuanian State Food and Veterinary Service https://vmvt.lt/kontaktai/ state-food-and-veterinary-service?language=en Luxembourg Ministry of Health http://www.ms.public.lu/fr/ Malta Competition and Consumer Affairs Author- https://mccaa.org.mt/ ity (MCCAA) Maltese Environment and Resources Authority https://era.org.mt/en/Themes/Pages/Welcome.aspx Maltese Ministry for Health http://ehealth.gov.mt/HealthPortal/others/foodsafety​ _week/food_safety_week.aspx Netherlands Food and Consumer Product Safety https://english.nvwa.nl/ Authority Netherlands Ministry of Agriculture, Nature and https://www.government.nl/ministries/ Food Quality ministry-of-agriculture-nature-and-food-quality Norwegian Food Safety Authority http://www.regjeringen.no/en/dep/hod​ /About-the-Ministry/Subordinateinstitutions​ /Norwegian-Food-Safety-Authority.html?id=279765 Norwegian Ministry of Agriculture and Food http://www.regjeringen.no/en/dep/lmd.html?id=627 Polish Chief Sanitary Inspectorate http://www.gis.gov.pl/?lang=en&go=content&id=10 Portuguese Economy and Food Safety Authority http://www.asae.gov.pt/ PrimusGFS http://www.primusgfs.com Romanian National Sanitary Veterinary and Food http://www.ansvsa.ro/ Safety Authority Slovak Republic Ministry of Agriculture and Rural http://www.mpsr.sk/en/index.php?navID=1 Development Slovenian Ministry of Agriculture, Forestry and http://www.arhiv.mkgp.gov.si/en/areas_of_work​ Food /food_safety/ Spanish Agency on Food Safety and Nutrition http://www.aecosan.msssi.gob.es/en/AECOSAN/web​ /home/aecosan_inicio.htm SQF Institute https://www.sqfi.com/ Standards and Trade Development Facility (STDF) https://www.standardsfacility.org/ Swedish Food Agency https://www.livsmedelsverket.se/en continued Institutions and Other Entities Involved in Food Safety   ▪  403 Table A.1  (Continued) State institution or other entity Internet address Swedish Ministry of Rural Affairs https://www.government.se/government-policy ​/rural​-affairs/ Swiss Federal Food Safety and Veterinary Office https://www.blv.admin.ch/blv/en/home.html U.K. Department for Environment, Food and http://www.defra.gov.uk/ Rural Affairs U.K. Food Standards Agency http://www.food.gov.uk/ U.S. Department of Agriculture – Food Safety and http://www.fsis.usda.gov/ Inspection Service U.S. Department of Agriculture – Food Safety https://www.nal.usda.gov/fsrio/food-safety-topics Topics U.S. Department of Agriculture – Food Security https://www.usda.gov/topics/food-and-nutrition​ /food-security U.S. Environmental Protection http://www.epa.gov/agriculture/tfsy.html Agency – Agriculture U.S. Food and Drug Administration – Animal and http://www.fda.gov/AnimalVeterinary/default.htm Veterinary U.S. Food and Drug Administration – Food http://www.fda.gov/Food/default.htm U.S. Food and Drug Administration – Food https://www.fda.gov/Food/FoodDefense/default.htm Defense U.S. Juice HACCP https://www.fda.gov/food/hazard-analysis-critical-control​ -point-haccp/juice-haccp U.S. Meat and Poultry HACCP https://www.nal.usda.gov/fsrio/meat-and-poultry-haccp U.S. Seafood HACCP https://www.fda.gov/food/hazard-analysis-critical-control​ -point-haccp/seafood-haccp World Health Organization (WHO) – Food Safety http://www.who.int/foodsafety/en/ ECO-AUDIT Environmental Benefits Statement The World Bank Group is committed to reducing its environmen- tal footprint. In support of this commitment, we leverage elec- tronic publishing options and print-on-demand technology, which is located in regional hubs worldwide. Together, these initiatives enable print runs to be lowered and shipping distances decreased, resulting in reduced paper consumption, chemical use, greenhouse gas emissions, and waste. We follow the recommended standards for paper use set by the Green Press Initiative. The majority of our books are printed on Forest Stewardship Council (FSC)–certified paper, with nearly all containing 50–100 percent recycled ­ content. The recycled fiber in our book paper is either unbleached or bleached using totally chlorine-free (TCF), processed chlorine–free (PCF), or enhanced elemental chlorine–free (EECF) processes. More information about the Bank’s environmental philosophy can be found at http://www.worldbank.org/corporateresponsibility. T his 2020 edition of the Food Safety Handbook: A Practical Guide for Building a Robust Food Safety Management System, published by the International Finance Corporation (IFC) of the World Bank Group, updates the guidelines and regulations analyzed in the 2016 edition. It is also a compendium of the latest information on food safety systems. The purpose of the handbook is to help large and small food industry companies establish, professionally maintain, and enhance food safety in their operations. Through its Global Food Safety Advisory Program, the IFC has 15 years of experience helping enterprises in Africa, Asia, and Eastern Europe produce consistently safe food. The best of the practical knowledge it has gained in supporting food business operators across the sector is presented in this handbook. The handbook covers the most salient aspects of food safety in an easy-to-follow format. Chapter 1 offers an overview of the Global Food Safety Initiative and other food safety management system schemes as well as the most widely recognized standards that a food sector company might implement to manage food safety; it also highlights the role of leading food safety certification programs. Chapter 2 addresses relevant regulations of the European Union and the United States—together with various provisions of the Codex Alimentarius—that are aimed at protecting the health of consumers, ensuring fair practices in the food trade, and promoting the harmonization of standards, because of the significance of these two markets and regulatory regimes for food business operators throughout the world. The chapter also includes a summary of relevant joint approaches toward food safety legislation and the production and marketing of food products, and it outlines how companies may demonstrate their compliance with food safety requirements. Chapter 3 introduces useful food safety planning and implementation tools and techniques. Among these is an in-depth guide to the development of a dairy sector prerequisite program and another on the establishment of a food safety hazard control plan and system. The methodologies described may be applied to any food products. Chapter 4 covers food safety management system procedures and documentation, and chapter 5 addresses food safety training. Chapter 6 provides guidance for company management, including food safety policy; it also includes a food safety management review toolkit and a toolkit designed to assist food enterprise management with a broader grasp of the costs involved in nonquality, that is, production, storage, and contamination issues that lead to food product defects, consumer complaints, actions by food authorities, and food product recalls and withdrawals. The Food Safety Handbook is indispensable for any food business operator anywhere along the food production and processing value chain who wants to develop a new food safety system or strengthen an existing one. The benefits of implementing a rigorous food safety system, as outlined in this handbook, include better access to markets, improved brand recognition, and more consistently satisfied customers and consumers. ISBN 978-1-4648-1548-5 SKU 211548