The Hazard Analysis and Critical Control Points
Regulatory System
The new rules represent a comprehensive strategy on
the part of FSIS to modernize the 90-year-old inspection
program. There are four essential elements of this new
food-safety system:
·
All State and federally inspected meat and poultry
slaughter and processing plants must have a
Hazard Analysis and Critical Control Points
(HACCP) plan.
·
Federally inspected meat and poultry plants must
develop written sanitation SOP’s to show how they
will meet daily sanitation requirements.
·
FSIS will test for
Salmonella on raw meat and
poultry products to verify that pathogen-reduction
standards for
Salmonella are being met.
·
Slaughter plants will test for generic
E. coli (all types
of
E. coli) on carcasses to verify the process is
under control with respect to preventing and remov-
ing fecal contamination.
HACCP Plans
USDA now requires that all meat and poultry plants
develop HACCP plans to monitor and control production
operations. These plants must first identify food-safety
hazards and critical control points in their particular
production, processing, and marketing activities. In
addition to biological hazards such as pathogens, food-
safety hazards include chemical and physical hazards
such as chemical residues and metal fragments that may
cause a food to be unsafe for human consumption. A
critical control point is a point, step, or procedure where
controls can be used to prevent, reduce to an acceptable
level, or eliminate food-safety hazards.
As part of the HACCP plan, these plants must then
establish critical limits, or maximum or minimum levels,
of a hazard for each critical control point. For example,
water or steam used for cleaning carcasses must be
maintained at a minimum temperature of 180
o
F or higher.
Monitoring activities are necessary to ensure that the
critical limits are met. In the HACCP plan, each plant is
required to list the monitoring procedures and frequen-
cies. HACCP also includes steps for recordkeeping and
verification, including some microbial testing of product to
ensure that the HACCP system is meeting the target
level of safety. Plants and FSIS share responsibility for
verifying the effectiveness of the HACCP system.
HACCP will be implemented first in plants with more than
500 employees. Seventy-five percent of meat slaugh-
tered occurs in large plants. The effective date is January
26, 1998, 18 months after the July 1996 rule was pub-
lished. In plants with 10-500 employees, the effective
date will be January 25, 1999. In very small establish-
ments, those having fewer than 10 employees or annual
sales of less than $2.5 million, the effective date will be
January 25, 2000.
Sanitation Standard Operating Procedures
The Pathogen Reduction/HACCP final rule requires that
all federally inspected meat and poultry plants must
develop written SOP’s by January 26, 1998, to show how
they will meet daily sanitation requirements. This ele-
ment is important in reducing pathogens on meat and
poultry because unsanitary practices increase the
likelihood of product contamination. Plants must docu-
ment and maintain daily records of completed sanitation
SOP’s, and any corrective and preventive actions taken.
Plant managers must make these records available for
USDA inspectors to review and verify.
Testing for Salmonella
FSIS testing for
Salmonella on raw meat and poultry
products will be used to verify that plants are controlling
pathogen levels. All plants that slaughter and grind meat
and poultry must achieve at least the current baseline
level of
Salmonella control for the product classes
produced.
Salmonella was selected for testing because
it is the most well-known cause of U.S. foodborne
illnesses associated with meat and poultry. Plants must
meet the
Salmonella standard on the same timetables as
they meet the HACCP requirement.
Testing for E. coli
Slaughter plants will be required to test for generic
E. coli
on carcasses to verify that they are preventing and
removing fecal contamination. Generic
E. coli was
selected because of the scientific consensus that it is an
excellent indicator of fecal contamination, because the
analysis is relatively easy and inexpensive to perform,
and because levels of
E. coli contamination can be
quantified.
E. coli contamination is not directly correlated
with
Salmonella contamination, which is affected by other
factors as well, including the health and condition of
incoming animals. Therefore, the pathogen reduction
standards for
Salmonella and the E. coli testing comple-
ment one another.
8
Economic Research Service/USDA
An Economic Assessment of Food Safety Regulations
Microbiological performance criteria will be used to help
plants verify that their process controls are effectively
preventing fecal contamination. These performance
criteria are based on FSIS survey data on the prevalence
of
Salmonella and E. coli in raw products. Inspectors will
also use these criteria to help assess the effectiveness of
the plant’s controls. These criteria are not enforceable
regulatory standards, but they are intended to provide an
objective point of reference that will help slaughter plants
and FSIS ensure that plants are preventing and reducing
fecal contamination of meat and poultry products. Plants
were required to begin
E. coli testing on January 27,
1997, regardless of plant size. Plants will be given an
additional 6 months to gain experience in conducting
these tests before FSIS personnel begin reviewing the
test results as part of their inspection routine.
Enforcement Strategies
Implementation of the four essential elements of FSIS’s
new food-safety system follows a schedule. In general,
larger establishments are expected to comply sooner
than smaller establishments. If FSIS inspectors find
violations of these new requirements, enforcement action
will vary, depending on the seriousness of the problem.
USDA’s first concern will continue to be preventing
potentially unsafe or adulterated product from reaching
consumers, which could mean detaining product at the
plant or requesting that the company recall the product.
Minor violations of an establishment’s HACCP and
SOP’s will be noted by inspection personnel. A pattern
of minor violations may result in intensified inspection to
ensure that there is no systematic problem of noncompli-
ance or underlying food-safety concern. For more
serious violations involving adulterated or contaminated
products, inspectors can stop production lines until
failures in HACCP and sanitation SOP’s are corrected.
Inspectors can also identify specific equipment, produc-
tion lines, or facilities that are causing the violations and
remove them from use until sanitation or other problems
are corrected.
Repeated or flagrant violations will result in other admin-
istrative, civil, or criminal penalties, after due process.
For example, improper maintenance or falsification of
records would have potentially serious implications
because accurate recordkeeping is essential to the
functioning of sanitation and HACCP systems and to the
production of foods safe for human consumption. USDA
will continually monitor and adjust its enforcement
approach during this program transition to ensure that
enforcement activities are effective, fair, and consistent.
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