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Regulating the Quality and Safety of Foods

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Title: Regulating the Quality and Safety of Foods


1
Regulating the Quality and Safety of Foods
2
The Elements of Food Safety
Law
Safety
Policy
Science
3
Safety System Basics
  • Only safe and wholesome foods may be marketed
  • Regulatory decision-making is science-based
  • Government has enforcement responsibility
  • Manufacturers, distributors, importers, and
    other are expected to comply and face liability
    for noncompliance
  • Regulatory process is transparent and accessible
    to the public

4
National Food Safety Initiative
  • Food safety from farm to table
  • New interagency strategy to prevent food borne
    disease
  • Assesses current system of regulation
  • Recommends actions to improve food safety

5
Food Borne Illness Outbreaks
  • Hudson Foods
  • Largest recall of beef in U.S. history
  • 25 million pounds
  • Escherichia coli 0157H7
  • Supplier to Burger King and Safeway
  • Fined 332,000 by OHSA

6
Scope of Regulatory Responsibility
  • 6,100 meat and poultry processing facilites
  • 50,000 food establishments
  • 537,000 commercial restaurants
  • 172,000 institutional food programs
  • 190,000 retail stores
  • 70,000 separately labeled food products

7
The Problem
  • Resistance and virulence of emerging pathogens
  • Patchwork system of food safety regulation
  • Lack of an effective, low cost method of
    ensuring
    safety of food products
  • Lack of regulatory oversight beyond commercial
    facilities
  • Lack of effective consumer education programs

8
Food Safety Regulation
  • 12 different federal agencies derive their
    authority over food products from 35 different
    federal statutes
  • US spents gt1 billion annually on Food Safety
    Regulation

9
Federal Agencies with some jurisdiction over food
products
FDA USDA FTC(Advertising) EPA(Pesticides)
CDC(Foodborne illness) US Customs(Imports) DOT(Transportation) NOAA(Seafood HACCP Training)
CVM(Veterinary Medicine) AMS(Shell Eggs surveillance) CFSAN APHIS(Border quarantines)
DOC BATF(Alcohol and Firearms) FSIS ERS (food safety education)
10
Scientific Issues in Food Safety
  • Hazard Identification
  • Microbiology
  • Chemistry
  • Toxicology
  • Epidemiology
  • Risk Assessment
  • HACCP /Quality Systems
  • Zero tolerance
  • Lethal Processing Step

11
Regulatory Issues
  • Food Additive Regulation
  • Labeling
  • Novel Food Processing
  • Standardization
  • Responsibility (liability)
  • Food Irradiation
  • Genetic Modifications
  • Consumer protection

12
Policy Issues
  • Risk Assessment
  • Centralization (Food Czar)
  • Strict Liability
  • Global Harmonization and Standardization
  • GATT / NAFTA (Fortress Europe)

13
Consumer Expectations
  • Consumers expect safe, hazard free food
  • Responsibility is shared by
  • food producers
  • processors
  • purveyors
  • regulatory agencies

14
Safety
  • Freedom from danger, risk or injury
  • Any of the various devices designed to prevent
    accident such as a gun lock
  • A play in which a member of the offensive team
    is forced to down the football in his own end zone

15
Good Manufacturing Practices(GMPs)
16
Regulation vs Cooperation
  • FDCA gave authority and responsibility to FDA for
    ensuring safety in food supply
  • FDCA prohibits poisonous or deleterious
    substances in food
  • GMPs reference in FDCA states
  • food is adulterated if it may have been rendered
    injurious to health by conditions under which it
    was prepared, packed or held...

17
Food borne illness
  • 24 million people per year
  • cost of 7 billion
  • 10,000 deaths
  • mishandling at retail level is a factor
  • 12 million workers in 1 million establishments
  • regulatory agencies alone cannot prevent
  • cooperation with industry required

18
Adulteration under the FDCA
  • Food MAY be adulterated if-
  • prepared under insanitary conditions
  • proof of actual adulteration not necessary
  • proof of illness not necessary
  • conditions under which food is prepared, packed,
    or held is determinant

19
Good Manufacturing Practices
  • Procedures developed to ensure production of
    safe, wholesome foods and to provide safe working
    environment
  • Not "process specific", relate to entire
    operation
  • GMPs include facilities/grounds, equipment pest
    control, receiving and storage, process control,
    product recall and personnel training.

20
First proposal for GMPs
  • proposed rule December, 1968
  • final rule April, 1969
  • original GMPs regulation very broad
  • FDA then attempted to develop specific industry
    GMPs
  • FDA concluded it was more effective to strengthen
    umbrella GMPs
  • revisions to GMPs in 1986

21
Product specific GMPs
  • thermally processed low-acid canned foods
  • acidified foods
  • bottled drinking water

22
GMPs Regulations
  • 21CFR Part 110
  • Subpart A - General Provisions
  • Subpart B - Building and Facilities
  • Subpart C - Equipment
  • Subpart D - Reserved
  • Subpart E - Production and Process Controls
  • Subpart F - Reserved
  • Subpart G - Defect Action Levels

23
GMPs Regulations
  • written as mandatory requirements
  • consistent use of shall rather than should
  • GMPs used in inspections of plant and warehouses

24
GMPs - General Provisions
  • provides definitions
  • important in understanding implications and
    applications
  • personnel
  • management has responsibility for performance of
    personnel

25
GMPs - Buildings and Facilities
  • buildings must be designed and constructed to
    facilitate effective maintenance and sanitation
  • results specified rather than method for
    achieving
  • detailed expectations in sanitation of operations

26
GMPs - Equipment
  • equipment and utensils
  • designed and constructed to be easily and
    properly cleaned
  • temperature measuring and recording on
    refrigerators and freezers
  • measurement of critical parameters

27
GMPs Production and Process Controls
  • end results emphasized
  • ensuring that no adulterated food enters
    marketplace
  • terms used subject to variation in interpretation
  • raw materials and ingredients properly
  • inspected, analyzed
  • segregated, stored
  • handled

28
Production and Process Controls
  • manufacturing operations must be monitored
  • pH, water activity, temperatures
  • elimination of metal from product
  • personnel should be trained and aware of GMP
    requirements

29
GMPs - Defect Action Levels
  • natural or unavoidable defects may be in food
  • not harmful at levels present
  • present even with GMPs
  • FDA establishes DALs when necessary and possible
  • defect level may not be reduced by blending

30
Summary of General GMPs
  • Intended to prevent adulteration
  • Opportunity for considerable judgment in defining
    and interpreting regulations
  • spirit of GMPs is to do what is reasonable and
    necessary to ensure safe and unadulterated food
    supply

31
Specific GMPsLow acid canned foods
  • Life threatening risk if improperly processed
  • Requires supervision of personnel who have been
    trained
  • Regulations quite detailed for equipment design
    and operation
  • Extensive record keeping requirements

32
Acidified foods
  • Defined as a low acid food with
  • Aw greater than 0.85
  • acid added to lower pH to 4.6 or lower
  • Product examples
  • includes beans, cucumbers, cabbage
  • excludes carbonated beverages
  • Personnel trained under approved program

33
Bottled Drinking Water
  • All water sealed in bottles, packages for human
    consumption
  • Regulations are general and similar to umbrella
    GMPs
  • Source of water must be approved
  • Sanitation, equipment designed, personnel
    emphasized
  • Extensive record keeping

34
The History of HACCP
  • HACCP initiated in early 1960s as cooperative
    effort
  • Pillsbury
  • NASA
  • Natik labs of U.S. Army
  • U.S. Air Force Space Laboratory
  • Purpose was to produce zero defect food for
    astronauts

35
HACCP History
  • NASA asked Pillsbury to design products for use
    in outer space
  • Pillsbury presented HACCP plan at 1971 Conference
    on Food Protection
  • FSIS asked NAS to evaluate inspection process and
    recommend modernization
  • HACCP recommended by NAS to FSIS in 1985

36
HACCP
  • Sec. 342 of FDCA is basis for HACCP (Adulteration
    provisions)
  • By adopting HACCP, companies share in
    responsibility for safety
  • GMPs and HACCP are increasingly important as more
    and more food is produced, processed, and handled
    by others

37
HACCP Basics
  • Defects always possible with less than 100
    testing
  • Detection of hazards by end product testing is
    only as good as statistics behind sampling and
    testing protocols
  • HACCP prevents rather than detects

38
HACCP Basics
  • Seven elements
  • Science based system of food safety
  • Made mandatory in EU
  • Mandatory for seafood first (1995)
  • Meats (beef, pork, poultry) in 1996
  • Voluntary for other products

39
Seven Steps of HACCP
  • Assess Potential Hazards
  • Determine Critical Control Points
  • Establish requirements for each CCP
  • Establish procedure to monitor each CCP
  • Establish corrective action if deviation
  • Establish record keeping procedures
  • Establish procedure to monitor effectiveness

40
Step 1 Determine Potential Hazards
  • First step in developing program
  • what hazards might exist
  • What is a hazard
  • poisonous or deleterious substance (P/D)
  • microbiological
  • chemical
  • physical
  • Hazard more specific than adulterant b/c product
    may be adulterated without being hazardous

41
Sources of hazards
  • Review of operation to determine where hazard
    might occur
  • ingredients and other raw materials
  • breakdown in some part of process
  • Knowledgeable person must review
  • ingredients
  • formula
  • process
  • storage conditions

42
Step 2 Identify Critical Control Points (CCPs)
  • CCP is a point at which a hazard might develop
  • if hazard results from loss of control, point is
    critical
  • QCP is point where quality might be affected
  • if reduction in quality occurs, point is a
    quality control point

43
Step 3 Establishing Control Limits
  • Hazard may develop if CCP out of control
  • Determine how much out of control results in a
    hazard
  • Limits must be set for each CCP
  • Knowledge of both hazards and the process is
    important

44
Step 4 Establish System to Monitor CCPs
  • Monitoring system to determine when process
    exceeds limits
  • Continuous monitoring preferred with immediate
    correction
  • Periodic sampling and testing may be only
    reasonable alternative
  • Continuous or frequent monitoring used to
    establish trends

45
Step 5Corrective action
  • May be as simple as rejecting a shipment or
    ingredient
  • May require adjusting calibration of measuring
    device
  • May necessitate shutting down an operation

46
Step 6 Record Keeping
  • Must have effective record keeping system to
  • demonstrate establishment of system
  • document its utilization
  • verify efficacy

47
Step 7Verification of Program - HACCP Plan
  • Written plan to describe system
  • May be shown to FDA as evidence that plan has
    been developed
  • Monitoring data and records of actions may be
    reviewed by
  • company management
  • regulatory officials

48
HACCP Plan
  • Section 123.6 requires that every processor shall
    have implemented a written HACCP plan specific to
    the process and the product
  • FSIS has developed "Generic HACCP Models" for
    major process categories
  • Must be signed by "responsible establishment
    individual"
  • HACCP training big business

49
Flow Charts
  • Step by step path traveled by food during
    processing
  • Shows CCPs
  • Shows where to take corrective action
  • Can use to monitor CCPs
  • Helps verify effectiveness

50
HACCP Issues
  • Should HACCP be voluntary or mandatory?
  • Should small businesses be exempt?
  • Should foreign exporters be exempt?
  • What records should be available?
  • What training should be required?

51
GMPs and HACCP
  • Prior to the development of HACCP plan,
    establishment should verify that all GMPs are in
    place and effective
  • Effective GMP programs ensure that HACCP plans
    focus specifically on the critical control points
    necessary to ensure product safety

52
GMPs and HACCP
  • GMPs establish guidelines, requirements, and
    expectation for reducing adulteration
  • GMPs along cannot guarantee safety
  • HACCP represents joint effort
  • Policies, procedures, regulations are evolving

53
ISO - 9000
  • International Food Quality Standards
  • Non-prescriptive

54
Standardization
  • GATT and NAFTA
  • Harmonization of trade restrictions
  • Fortress Europe Concept
  • Single Europe Act
  • Free movement of goods and services
  • History of Standardization
  • Eli Whitney

55
ISO-9000
  • Non-prescriptive standard that does not specify
    how a company's quality assurance must occur, but
    mandates that a company define appropriate
    quality standards, document its processes, and
    prove that it consistently adheres to both.
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