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REPORT ON THE HACCP PROGRAM
PREPARED BY:
AIMU
Technical Services Committee
Introduction:
According to US government statistics, there are an
estimated 114, 000 incidents of seafood related illnesses
each year, resulting in approximately 9,000 deaths. In an
attempt to reduce this, the FDA proposed new rules in
January of 1994, which after a period of public comment,
became effective in October of 1995. The new rules require
all seafood processors to implement a Hazard Analysis and
Critical Control Point (HACCP) program. The program is
designed to be more proactive than the end product sampling
method, which is currently used by the FDA and USDA.
Similar rules have also been recently released for meat and
poultry processors.
HACCP is a food inspection program which was originally
developed in the 1960’s for the space program. Scientists
needed to develop a way to make food safe for astronauts to
eat in space. They established that the only way to have
100% assurance that the food was free of bacteria was to
test 100% of it, but if you test 100% you have nothing left
to eat. What was needed was a system that was the next best
thing, and according to various sources in the meat and fish
industry, HACCP was their answer.
HACCP programs have existed in the seafood, meat and poultry
industry, since the 1970’s, but only on a
voluntary
basis. Soon, this program will become
mandatory.
Depending on the size of a company, the firm may have up to
three years to develop and implement a HACCP program. The
larger companies are expected to comply with the regulations
in one – two years and smaller companies, (which are defined
as companies with annual revenues of less than $2.5 million)
will be given a longer period of time.
This paper is basically devoted to the seafood portion of
the program, as it would appear that the meat and poultry
program will be more domestic then imported. Either way, it
is essentially the same program, with applications for two
industries.
General
Information:
Presently, there are approximately 45 seafood processing
companies in the HACCP program; however, this is changing.
This was a strictly voluntary program, similar to the
ISO9000 program used in Europe, and working within Food and
Drug Administration (FDA) regulations. However, it is
apparently now being made mandatory, with regulations issued
December 18, 1995 and becoming effective December 18, 1997.
It will be run by the National Marine Fisheries Service (NMFS)
and will cover all “processors.” This includes domestic
processors and foreign processors who export to the U.S.,
exempting fishing vessels, common carriers and retail
sellers. Here, it should be noted that some large fishing
vessels also have processing capabilities. Any processing
vessels, with processing capabilities are to be included
under the program.
The
Food Safety Inspection Service (FSIS) is responsible for the
administration of the HACCP program for the meat and poultry
industry.
This particular program was founded in July of 1992, with
the principles of the HACCP policy, having already been
adopted by several countries, including Canada, Iceland, and
Thailand.
Over View
of the HACCP Program:
What is HACCP?
HACCP is a tool that provides a systematic approach to the
production of safe, wholesome and properly labeled food.
Basically, a flow chart is used to illustrate the production
process. The flow chart identifies the sites of possible
contamination and, hence, the control points and the
critical control points. There are seven steps to a HACCP,
which are recapped on the attached sheet. An example of
what these might look like would be as follows.
l
Analyze hazards. Potential hazards associated with a food
are identified. The hazard could be biological, such as a
microbe; chemical, such as mercury; or physical, such as
ground glass or metal.
l
Identify critical control points. These are points in a
food’s production, from its raw state through processing and
shipping to consumption by the consumer, at which the
potential hazard can be controlled. Examples would be
cooking, chilling, handling, cleaning, and storage.
l
Establish preventive measures with critical limits for each
control point. For a cooked food, this might include
setting the minimum cooking temperature and time required to
ensure a safe product. The temperature and time then become
the critical limits.
l
Establish procedures to monitor the control points. These
procedures might include determining how and by whom cooking
time and temperature should be monitored.
l
Establish corrective actions to be taken when monitoring
shows that a critical limit has not been met yet. For
example, reprocessing or disposing of food if the minimum
cooking temperature is not met.
l
Establish effective record keeping to document the HACCP
system.
l
Establish procedures to document that the system is working
consistently; such as, time and temperature recording
devices to verify that a cooking unit is working properly.
Attached to the report is a process flow chart of a HACCP
program, for the fictional, “Floppy Fish Company,”
How Does the
Certification Process Work?
Each processor must conduct a hazard analysis to determine
whether they have food safety hazards, which they must
control. Then, they must develop the implement a HACCP
program. It should be noted that they must reassess,
whenever a significant change occurs.
NMFS policy is to encourage and assist interested parties in
the development and implementation of HACCP based inspection
systems. In this respect, the NMFS’ purpose is to provide
guidance for the development of a plan, which will meet the
agency’s requirements, and to establish procedures for use
by inspectors to insure uniformity in the various systems.
The
interested companies must submit the plans to NMFS,
following the guidelines that have been developed by the
agency. The plans must flow chart the entire process,
starting from the time of receipt of the product until
packaging. The temperatures, handling procedures, etc. must
be developed, identifying the critical control points, which
are then tested or monitored on a frequency established by
the processor. In addition to the seven points of the HACCP
process, the submission must also include:
l
An
organization chart, indicating the personnel responsible for
the development, implementation, and maintenance of the
HACCP program.
l
Description of all fisheries products, which are covered
under the HACCP based inspection program.
l
A
record keeping system for the plan, which must be maintained
for at least six months beyond the shelf life of the product
in question.
l
Verification procedures for the HACCP plan.
l
Sanitation standard and operating procedures.
l
Consumer complaint procedures.
l
Recall procedures.
After plan review and an on site systems audit, validation
of the firm’s HACCP program is given.
After the initial certification, processing establishments
and seafood processing vessels are subject to unannounced,
periodic systems audits. The frequency of these audits can
vary, depending on the facility’s rating. Also, the firms
rating can be improved or lowered, depending on the number
of consecutive successful audits. An overview of the
proposed matrix for inspections and ratings is shown in the
following table. Seafood
Processing Establishments:
*Firms at level V must submit a rehabilitation plan, and certification may be revoked, at the discretion of the NMFS.
Seafood
Processing Vessels:
*Firms at level V must submit a rehabilitation plan, and
certification may be revoked, at the discretion of the NMFS.
In
reference to the HACCP program for the meat and poultry, the
US Department of Agriculture Food Safety and Inspection
Services (FSIS) has issued a final rule, requiring domestic
producers to have some type of HACCP program in place,
within three years. The primary rationale being that the
current inspection program does not target pathogenic
micro-organisms, which represent the largest public health
threat to consumers from meat and poultry. The current
program also does not make those producers legally
responsible for taking systematic preventive measure to
reduce or eliminate the presence of pathogenic
micro-organisms. Their proposal would require all
establishments to develop and keep written records of
sanitation standard operating procedures and call for the
reduction of salmonella in all meat and poultry products by
establishing interim targets and daily microbial testing. HACCP Pros & Cons.:
Pros:
HACCP focuses heavily on problem prevention and problem
solving, through proper monitoring and record-keeping by the
industry. It is more proactive than reactive, when compared
to traditional end product sampling quality control methods.
One
of the primary economic benefits of HACCP is that it
provides for reduced destructive sampling of the finished
product, as compared to the end-product sampling required
under traditional inspection systems, including a program
run by NMFS called the Integrated Quality Assurance Program
(IQAP).
The
program will allow participants an opportunity to apply
their existing quality control systems more efficiently and
will allow for more efficient use of NMFS resources, as
inspection frequencies can be varied depending on an
individual facility’s compliance history. Firms that
demonstrate the ability to maintain consistent control will
be inspected less frequently, and those that have
demonstrated inconsistent quality control will be inspected
more often.
The
HACCP program is generic enough that it has potentially
widespread application, going beyond seafood processors,
such as in the retail and food service industry. Also, some
companies in the passenger vessel industry are adapting the
HACCP concept to apply their storage, handling and
preparation of food.
Cons.:
One
of the major criticisms of this program is that it focuses
on the processing and packaging of seafood, but does not
address the storage and handling of the catch aboard fishing
vessels, unless the vessel also has a processing
capability. The regulations do, however, put the onus on
the buyers of seafood to ensure that the fish they are
buying at the docks are fresh.
Similarly, the HACCP program does not do anything toward
reducing illness form molluscan shellfish, as the program
does not provide any additional resources to states for
monitoring and classifying shellfish harvesting waters.
There is a serious concern whether the FDA will have a
sufficient number of inspectors, who are adequately trained,
in order to effectively audit the industry for compliance
with the HACCP program.
Firms may perceive that they are on safer ground with the
NMFS if they establish minimum acceptable controls that are
more easily met, rather than more stringent controls that
are beyond the minimum requirements and, thus are harder to
meet. Underwriting Concerns:
An
underwriter that is considering providing coverage to a
seafood shipper, or importer, should ascertain if the
insured has a voluntary HACCP program and, if so, at what
level.
Since each company develops its own HACCP program,
underwriters should also consider that the settling of
unreasonable control limits, within a HACCP program, could
cause the product to be refused upon delivery, even if there
is not any physical nor microbial damage. This may result
in a claim being presented to underwriters.
For
example, if the control limits that were set for temperature
are unreasonably low, such as –20F, this could cause
problems upon receipt of a container of fish which had a
slight fluctuation in temperature, during shipment. Even if
the product was sound and sustained no physical nor
microbial damage, it could be rejected by the consignee,
based on the temperature fluctuation going beyond the
control limits. This could be particularly problematic in a
market where the product being received is now valued at
less than current market prices, or when the market prices
have dropped. Further, even if underwriters accept the
claim, they would find that subrogation against the carrier
would prove most difficult.
Similar problems could also occur with product not prepared
under a HACCP program, which is rejected by consignee or the
FDA.
Conclusion:
The
primary purpose of these regulations is to ensure that
preventive controls are systematically applied in seafood as
a matter of routine custom and usage, and in a way that can
be verified by company management, as well as by regulatory
authorities. In this respect, the success of this program
will depend on the ability of the agencies to adequately
monitor processors’ HACCP programs through inspections. In
turn, this will largely depend on the agencies’ ability to
convince congress to provide adequate funding for personnel
and training.
The
HACCP program represents a fundamental paradigm shift for
the FDA’s food inspection program. Supporters claim that it
represents the first meaningful change in federal food
inspection procedures in 90 years. The objective of this
paper is to give underwriters an understanding of this new
program, which undoubtedly will be part of our lives for a
long time to come.
Attachments:
-
Seven Steps of HACCP program
-
Flow chart for Floppy Fish Co.
Note: * denotes critical control points
AIMU Technical Services Committee,∙ http://www.amiu.org |
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