Title: Food Safety Modernization Act (FSMA) Key Themes/Concepts
1Food Safety Modernization Act (FSMA) Key
Themes/Concepts
- Jeannie Perron, JD, DVM
- Covington Burling LLP
2Food Safety Modernization Act (FSMA) Key
Themes/Concepts
- Focus on prevention, not inspection/ testing
- Risk-based approach
3Food Safety Modernization Act (FSMA) Key
Themes/Concepts
- Supply chain traceability/ transparency
- Know your supplier, particularly for imports
4Food Safety Modernization Act (FSMA) Key
Themes/Concepts
- Enable food safety crises rapid response,
containment - Enhance FDAs inspection/ enforcement authority
5Hazard Analysis
- Must identify/evaluate known or reasonably
foreseeable hazards - biological, chemical, physical, radiological
hazards natural toxins pesticide and drug
residues unapproved food/color additives
allergens - hazards naturally occurring or intentionally
introduced
6Hazard Analysis
- Reanalyze every 3 years or whenever a significant
change is made affecting risk
7Preventive Controls
- Identify and implement preventive controls
- to significantly minimize or prevent identified
hazards and - so undeclared allergens will not adulterate or
misbrand food
8Preventive Controls
- Must monitor and verify that preventive controls
are effective, and take corrective action when
needed - Verification activities include environmental and
product testing programs - Must keep records of these activities for 2
years, including test results
9Preventive Controls
- Preventive controls are
- Risk-based procedures, practices, and processes
- That a knowledgeable person would employ
- Consistent with current scientific understanding
of safe food manufacturing/ handling
10Preventive Controls
- Examples include
- Sanitation procedures and practices
- Process pathogen controls
- Allergen control program
- Recall plan
- Current good manufacturing practices (cGMPs)
- Verification procedures for suppliers and
incoming ingredients
11Preventive Controls FDA Regulatory
Implementation
- Hazard analysis/preventive controls requirements
effective July 2012 - Statute says FDA must promulgate regulations by
then that - establish science-based minimum standards for
- analyzing and documenting hazards
- implementing and documenting preventive controls
- work for all sizes and types of facilities
12Preventive Controls FDA Regulatory
Implementation
- FDA may exempt from hazard analysis/preventive
control requirements facilities solely engaged in
the storage of packaged foods that are not
exposed to the environment
13Traceability
- By Jan. 2013, FDA must require additional
recordkeeping for high risk foods
14Foreign Supplier Verification Program
- U.S. importers must have a program by January
2013 to verify that imported food is produced in
accordance with U.S. requirements
15Foreign Supplier Verification Program
- FDA must promulgate guidance and regulations
within 1 year, and may require - monitoring records for shipments
- lot-by-lot certification of compliance
- annual on-site inspections
- checking the hazard analysis and preventative
- controls of the foreign supplier, and
- periodically testing and sampling shipments
16Expanded FDA Records Access
- FDA records access authority expanded to foods
FDA believes likely to be affected in a similar
manner - FDA will have access to all newly-required
records (including test results)
17Facility Registration Changes
- Biennial registration
- No registration fee
- Bill does contain fees for reinspection and
reimbursement of FDAs recall-related expenses
18Facility Registration Changes
- Suspension of registration
- If FDA determines that a food manufactured,
processed, received, or held by a registered
facility has a reasonable probability of causing
serious adverse health consequences or death, may
suspend - If suspended, food from facility may not be
- introduced into commerce
19FDA Inspection/Enforcement
- Increased inspection schedule
- Hi-risk facilities
- Once during first 5 years after enactment
- Every 3 years thereafter
- Other facilities
- Once during first 7 years after enactment
- Every 5 years thereafter
20FDA Inspection/Enforcement
- FDA mandatory recall authority for Class I
recalls - Relaxed standards for administrative
- detention
- reason to believe food is adulterated or
misbranded