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Monday 1 August 2016

Ravaging Food Industry Experts Fraud Flying Under the Radar

Many have been taken by copy paste experts (consultants and trainers). Hopefully, you have not fallen for the many tricks of the opportunist traders that come in different shades.


I strongly believe that once people think a bit more and decide accordingly about what they are buying, and once they start to challenge the sellers' promises about their proposed solutions, many "snake oil" purveyors will get off the market.

With things like new versions of industry audit schemes and emerging food regulations, particularly the U.S. Food Safety Modernization Act (FSMA), the Safe Food for Canadians Act and Regulations (SFCA/R) and similar national initiatives elsewhere, you must refuse to be taken by anyone who will simply read back to you what you can already read for yourself and leave you to do all the work.

Many will come promising you a world of solutions but hand you a replica of the globe. You will have a real replica. It may even be golden but useless in terms of solving your real world problems. The proof of the pudding, they say, is . . .
Let’s take a moment to focus on the FSMA requirement for companies to have Preventive Control Qualified Individuals (PCQIs). This tops the list of acronyms that I find infuriating. It represents a qualification that appears to be conferred on people who merely rush through learning about elements in the US-FSMA (Act and Regulations). One wonders about the following:
1. How much is covered within a week of training for such a "preventive control" qualification to be conferred?
 2. Is that amount of training time sufficient to go through enough of the scientific hazard/risk assessment considerations applicable to each represented operation?
3. Are actual mitigation actions that are relevant to the varied situations and circumstances faced by the usual pool of training recipients covered? 
If you are thinking of enlisting a trainer or consultant, here are some fraud detection tips:
First ask the trainer or consultant if they know how the FSMA final rules relate to the USC-Title 21, the Code of Federal Regulations (CFRs) and the Federal Food, Drug and Cosmetic Act. If they fumble in describing the relationship, do not hire them.
If they demonstrate a good knowledge of the relationship, proceed to ask them how they are going to help you in identifying all of the potential hazards that pertain to your operation and products according to the categories of hazards listed in the stated requirements below:
United States Code, 2006 Edition, Supplement 4, Title 21 - FOOD AND DRUGS
CHAPTER 9 - FEDERAL FOOD, DRUG, AND COSMETIC ACT

SUBCHAPTER IV - FOOD

Sec. 350g - Hazard analysis and risk-based preventive controls
   (a)   In general
The owner, operator, or agent in charge of a facility shall, in accordance with this section, evaluate the hazards that could affect food manufactured, processed, packed, or held by such facility, identify and implement preventive controls to significantly minimize or prevent the occurrence of such hazards and provide assurances that such food is not adulterated under section 342 of this title or misbranded under section 343(w) of this title, monitor the performance of those controls, and maintain records of this monitoring as a matter of routine practice.
   (b)   Hazard analysis
The owner, operator, or agent in charge of a facility shall—
(1) identify and evaluate known or reasonably foreseeable hazards that may be associated with the facility, including—
 (A) biological, chemical, physical, and radiological hazards, natural toxins, pesticides, drug residues, decomposition, parasites, allergens, and unapproved food and color additives; and
 (B) hazards that occur naturally, or may be unintentionally introduced; and
(2) identify and evaluate hazards that may be intentionally introduced, including by acts of terrorism; and
(3) develop a written analysis of the hazards.

If the hazard analysis that they help you to conduct only involves the listing of what has been published elsewhere without considering your unique situations, environment, facilities, operation setup, supply sources, input materials, other incidental materials used, operation practices (including personnel practices and habits), processing steps, products, product delivery format, delivery channels, destinations, customer/consumer profiles, consumer behaviour that can be anticipated, etc., do not hire them.

Preventive Controls:
Secondly, ask them to provide an analysis of a "Preventive Control". See if they are able to accurately differentiate between "preventive controls" and "critical control points" as well as state the relationship between these. If they do not understand that "preventive controls" is the umbrella term that covers both critical control points and system control measures, do not hire them.

The foregoing list is the minimum. It is not exhaustive, depending on your particular operation, location, etc. Your hired trainer or consultant must cover these plus any other considerations that can be identified in your unique case. If they are not able to identify what applies in your operation; if their focus is only on reading the regulations and fumbling with the interpretation, do not hire them.

Also assess how much your prospective consultant or trainer can actually help you regarding the control of radiological hazards, etc. that are now included in the FSMA list of hazards. If they identify CCPs for controlling some of these hazards (for example a CCP for controlling radiological hazards in purchased raw materials), they may not be sufficiently knowledgeable about the relationship between preventive controls and CCPs, the proper application of CCPs, and the current global food trade practices. You should not hire them. 


The food industry needs problem solvers; not opportunists. It needs practical solutions; not the snake oil variety of solutions.


Posted by Felix Amiri
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Felix Amiri is currently the chair of GCSE-Food & Health Protection, and a sworn SSQA advocate.

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