Title: Food Hygiene Enforcement Interventions
1Food Hygiene Enforcement Interventions
2Aim
- To provide delegates
- with an understanding of the food enforcement
interventions provided for in the Food Law Code
of Practice and - practical guidance on their use.
3Objectives
- The course will seek to provide delegates with
- A brief review of Regulatory Reform and how this
has influenced changes to the Food Law Code of
practice. - A summary of the range of food enforcement
interventions. - Suggestions on how these interventions can be
used to drive up business compliance with food
law. - Guidance on preparing service planning for the
effective delivery of a food safety enforcement
service. - Practical help with promoting consistency in the
use of enforcement interventions.
4Programme
- 09.30 Registration
- 10.00 Introduction
- The changing nature of food regulation
- 10.45 Food Hygiene Interventions
- 11.15 Coffee
- 11.30 Selecting Interventions
- 13.00 Lunch
- 13.45 Selecting Interventions
- Service planning
- 15.00 Coffee
- 15.15 Ensuring consistency
- 16.15 Questions
5IntroductionThe changing nature of food
regulation
6Regulatory Reform
- Hampton Report (2005)
- Reducing administrative burdens effective
inspection and enforcement. - McCrory Review (2006)
- Sanctions
- Davidson Review (2006)
- Compliance with EU law
- Rogers Review (2007)
- Priorities
7Regulatory Reform
Food Law Code of Practice
8Hampton Report
- Reducing administrative burdens effective
inspection and enforcement.
9Hampton Principles
- Regulators should recognise that a key element
of their activity will be to allow, or even
encourage, economic progress and only to
intervene when there is a clear case for
protection
10Hampton Principles
- Regulators, and the regulatory system as a
whole, should use comprehensive risk assessment
to concentrate resources in the areas that need
them most
11Hampton Principles
- Regulators should provide authoritative,
accessible advice easily and cheaply
12Hampton Principles
- No inspection should take place without a
reason
13Hampton Principles
- Businesses should not have to give unnecessary
information or give the same piece of information
twice
14Hampton Principles
- The few businesses that persistently break
regulations should be identified quickly and face
proportionate and meaningful sanctions
15Hampton Principles
- Regulators should be accountable for the
efficiency and effectiveness of their activities,
while remaining independent in the decisions they
take.
16Regulatory Reform Act 2006Compliance Code
17Legislative and Regulatory Reform Act 2006
- Regulatory functions
- transparent,
- accountable,
- proportionate,
- consistent, and
- targeted only at cases in which action is needed.
18Compliance Code
- S21 of Act, in force
- April 08
- Legislative basis to
- Hampton Principles
- Approved by Parliament
19Compliance CodePurpose
- to promote efficient and effective approaches
to regulatory inspection and enforcement which
improve regulatory outcomes without imposing
unnecessary burdens on business, the Third Sector
and other regulated entities. -
20Compliance CodeDefinitions
- Regulatory outcomes
- end purpose of regulatory activity for example
- Improvement of compliance with food law
- Reduction in food poisoning
21Compliance CodeOverview
- Code requires regulators to
- adopt a positive and proactive approach towards
ensuring compliance by - helping and encouraging regulated entities to
understand and meet regulatory requirements more
easily and - responding proportionately to regulatory
breaches - Regulatory functions
- Based on risk assessment.
22Compliance Code
- Certain Regulators required to have regard to the
Compliance Code when - Writing policies,
- Setting standards
- Providing guidance
- Code only applies to policy making.
- Not to inspections, investigations, prosecution
and other enforcement activities.
23New Local Performance Framework
- New ways of working
- public sector organisations working together more
to deliver better, more responsive services to
local people - public, private and third sectors striving
together for improved prosperity with plenty of
ambition for the future - central and local government agreeing the
priorities for an area and working together to
improve outcomes - opportunities for local people to influence
decisions about services and how they are
delivered. - Focusing scarce resources on priority outcomes
24New Local Performance Framework
- National Indicators
- NI 184
- Local Strategic Partnership (LSP)
- Sustainable Community Strategy
- Local Area Agreements (LAAs)
25Objectives of Food Hygiene Service
- National Indicator 184
- Food establishments in the area which are broadly
compliant with food hygiene law
26Comprehensive Area Assessment (CAA)
- Introduced from April 2009.
- Each years CAA will have four elements
- an area risk assessment identifying risks to
outcomes and the effectiveness of their
management - a scored use of resources judgement for public
bodies in the area - a scored direction of travel judgement for each
local authority in the area and - publication of performance data for each area
against the set of national indicators.
27Implementing the changes.
- CAA will see a shift from cyclical to risk-based
inspection only when its deemed necessary or
likely to aid improvement. - Michael OHiggins
- Chairman Audit Commission
28Source Food matters at your council LACORS/FSA
29Food Law Code of Practice
30Food Law Code of PracticeIntroduction
- Revision necessary
- Bring food law enforcement in line with
Regulatory Reform. - Some omissions in previous code
- Reflect changes in EU law.
31Food Law Code of PracticeIntroduction
- Main changes
- Section 4 Interventions
- Risk rating of approved establishments
- Enforcement arrangements at primary level
- Revised food registration form
- live bivalve molluscs permanent transport
authorisation - fishing vessel hygiene checklist
32Food Law Code of PracticeInterventions
- activities (by the local authority) which are
designed to monitor, support and increase Food
Law compliance within a food establishment. - Divided into
- Official Controls
- Other interventions
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34Official controls
- Regulation (EC) 882/2004
- Lays down general rules for performance of
official controls - Introduced to improve consistency
- Official controls should be
- Carried out regularly
- On a risk basis
- With appropriate frequency
35Regulation (EC) 882/2004
- Official Control
- any form of control that the competent authority
performs for the verification of compliance with
food law
36Official controls
- Official controls should take account of
- Identified risks
- FBOs past record
- Reliability of own checks
- Any information that might indicate
non-compliance. - Should be unannounced
- Flexibility to pre-arrange visits where
necessary. - For example some audits.
37Official Controls
- Inspections
- Audits
- Sampling
- Monitoring
- Surveillance
- Verification
38Official ControlsInspections
- the examination of any aspect of feed,
food,animal health and animal welfare in order to
verify that such aspect(s) comply with the legal
requirements of feed and food law and animal
health and welfare rules
39Official ControlsAudits
- The systematic and independent examination to
determine whether activities and related results
comply with planned arrangements and whether
these arrangements are implemented effectively
and are suitable to achieve objectives.
40Official ControlsSampling
- Taking . food or any other substance
(including from the environment) relevant to the
production, processing and distribution of
food. in order to verify through analysis
compliance with food law.. - Official control if
- Submitted to official control laboratory.
41Official ControlsMonitoring
- Conducting a planned sequence of observations
or measurements with a view to obtaining an
overview of the state of compliance with food
law..
42Official ControlsSurveillance
- The careful observation of one or more food
businesses, or food business operators or their
activities
43Official ControlsVerification
- The checking, by examination and the
consideration of objective evidence, whether
specified requirements have been fulfilled
44Other interventions
- Advice
- Education
- Coaching
- Information
- intelligence gathering
45Monitoring form
- Inspections/audits
- Verification/surveillance
- Sampling
- Advice/education
- Information/intelligence gathering
46Selecting Interventions
47Selecting Interventions
- Intensive regulation should be directed by Food
Authorities at those food businesses that present
the greatest risk to public health - those that are compliant with Food Law should
be subject to interventions that reflect the
level of compliance that has been achieved by the
food business operator.
48Selecting interventionsStrategic approach
- Intervention strategy should
- Recognise factors influencing non-compliance
- Consider risks resulting from non-compliance
- Focus on outcomes/outputs not inputs
- Seek to secure compliance with food law
- Top down approach
- Centrally set
- Bottom up approach
- Local control
49Selecting interventionsFactors influencing
non-compliance
- FSA funded research
- Robin Fairman, Kings College
- Different types of non-compliance
- Inability to recognise own non-compliance
- Lack of management controls
- Wilful non-compliance
50Selecting interventionsBarriers to compliance
- Lack of
- Knowledge
- Interest
- Skill
- Money
- Time
51Selecting interventionsRisks resulting from
non-compliance
- Need to match interventions to causes of
non-compliance. - High risk business/low risk of non-compliance
- Audit of systems
- Sampling
- Medium risk business/high risk of non-compliance
- Inspection
- Medium risk business/low risk of non-compliance
- Verification
- Low risk business/low risk of non-compliance
- Minimal (if any) intervention
52Selecting interventionsMeasuring outputs
Inputs
LA Returns
Inspection
Processes
Training
Training levels
Compliance
Output
Interventions
Outcomes
Reduced Food poisoning
IID Surveillance
53Selecting interventionsMeasuring outputs
- Best to measure outcomes
- Difficult in practice
- IID data unreliable
- IID multifactorial
- Less desirable to measure inputs
- No data on effectiveness
- Process measurement unreliable
- No strong link between training and reduction in
IID - Output measurement
- Measurable improvement in compliance with law
- Not perfect
54Selecting interventionsFactors influencing
compliance with food law
Awareness of legal requirements
Technical ability to identify non
compliance/relate requirements to own business
Managerial motivation to identify non-compliance
Technical ability to identify necessary changes
to achieve compliance
Managerial ability, resources and motivation to
implement changes
Managerial ability to monitor and review changes
55Food Law Code of Practice Interventions
56Broadly Compliant
- No more than 10 in Hygiene, Structure or
Confidence in Management scores
57Broadly Compliant
58Broadly Compliant
- FSA Strategic Plan
- 75 food businesses fully compliant by 2010.
- Full compliance
- Score 0/5 for confidence in management.
59Official control decisions
- Officer should record
- Type of official control selected
- Justification for this
60Factors influencing decisionPromoting food law
compliance
- Targeted assessment of compliance
- Influencing behaviour of FBO
- Change bad practice
- Endorse good practice
61Factors influencing decisionCompliance Code
- Should only adopt a particular approach if the
benefits justify the costs and it entails the
minimum burden compatible with achieving their
objectives.
62Factors influencing decisionCompliance Code
- Regulatory efforts should be targeted where they
would be most effective by assessing the risks to
their regulatory outcomes.
63Factors influencing decisionCompliance Code
- Greatest inspection effort focused on businesses
where risk assessment shows that both - a compliance breach or breaches would pose a
serious risk to a regulatory outcome and - there is high likelihood of non-compliance.
64Factors influencing decisionCompliance Code
- Reward businesses that have consistently
achieved good levels of compliance.
65Factors influencing decisionEffective use of
resources
- More resource available for failing premises
66Alternative enforcement strategies
- Research suggests
- Commonly used
- Preferred method
- Questionnaires
- Other methods
- Business forums
- Use other inspectors
- Random inspection
- Advantages
- Contact with low risk businesses
- Targeting of resources
- Disadvantages
- Reduced face-face contact
- Administration
67Information capture
68Information capture
- Essential that sufficient information
- Collected
- Recorded
- Retained
- To permit
- Monitoring
- Subsequent selection of intervention.
69Communicating with businesses
- Interventions should seek to influence behaviour
of FBO - Change bad practice
- Endorse good practice
- Explanation of
- Type of intervention
- Why specific intervention selected.
70Selecting InterventionsWorkshop
71Case 1
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74Changes to Risk Rating
- Only permitted following
- Inspection
- Audit
- Partial inspection/audit
75Changes to Risk Rating
- Where new information arises about premises
- justified complaint or poor sampling result
- Should consider whether an inspection, partial
inspection or audit is appropriate, - which may lead to a change of both the
intervention rating and appropriate intervention
choice.
76Internal monitoring of interventions
- Monitoring should include
- Adherence to the Food Authoritys planned
intervention programme - Priority given to interventions with businesses
according to Intervention ratings - Compliance with the Code of Practice, the
Practice Guidance and other Agency guidance - Consistent assessment of Intervention ratings
- Appropriate use of relevant inspection forms
- Compliance with internal procedures, policies and
the Food Authoritys Enforcement Policy - Interpretation and action taken by officers
following an intervention is consistent within
that Food Authority and is consistent with Agency
and/or LACORS guidance - That officers are aware of and have access to
other published industry codes of practice
relevant to the businesses within the area of the
Food Authority - That officers have due regard to published UK or
EU Guides to Good Practice
77Service Planning
78Purpose of service planning
- Identify
- Objectives of food service
- Links with corporate and national priorities
- Demands on service
- Resources required
- Partnership working
- Target
- Resources to meet stated objectives.
- Communicate to
- Members
- Staff
79Communicating with elected Members.
- Food Law Code of Practice
- Promotes
- Effective use of resources
- Facilitates
- Use of resources to meet local and national
priorities - Permits
- Transfer of resources to areas requiring
intervention.
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81Service planning workshop
82Fulchester Council
- Population 98,929
- 885 food businesses
- 8 FBOs non-English speaking
- Turkish
- Polish
- Chinese
83Corporate Priorities
- 1) Â Make a positive local contribution to
tackling the causes and effects of climate change
- 2) Â Enhance the vitality of Fulchester town
centre - 3)Â Give priority to involving and meeting the
needs of young people - 4)Â Achieve a cleaner, smarter and better
maintained 'Street Scene' and open space
environment - 5)Â Promote, encourage and provide opportunities
for healthy living - 6)Â Enhance the lives of the elderly.
84Service aims and objectivesFulchester Council
- Ensure that all food intended for human
consumption that is manufactured prepared or sold
in the District complies with food safety
requirements - Undertake programmed inspections of food
businesses in accordance with minimum levels
specified in the Food Law Code of Practice. - Advise and educate consumers, businesses and
other service users on food safety matters. - Promote food and health issues generally
- Investigate and take appropriate action on all
complaints relating to food safety matters - Carry out a planned food sampling programme
85Food business profile 2007/08Fulchester Council
- Category A 18 (8)
- Category B 57 (32)
- Category C 303 (318)
- Category D 122 (135)
- Category E 291 (237)
- New businesses 89 (81)
- Approved establishments 5 (6)
- Total 885
86Food business profile 2007/08Fulchester Council
- Based on historical data
- 62 category C premises Broadly compliant with
food law.
87Enforcement activitiesInspections 2007/8
- Category A 24
- Category B 48
- Category C 278
- Category D 94
- New businesses 42
- Approved establishments 12
- Total 498
88Enforcement activitiesSampling and
advice/education
- 246 Micro samples taken
- 12 adverse results
- 6 SFBB seminars held
- 2 in Turkish
- 1 in Cantonese
- 3 in English
89Fulchester Food Team
90Ensuring Consistency
91Where can inconsistencies arise?
92Consistency strategies
93Summary
- Food Hygiene Interventions
- Focus on achieving compliance in food businesses.
- Broadly compliant businesses
- Less invasive interventions
- Target resources
- Less compliant businesses
94Questions?