bb2 - Juicehaccpfirstedition PDF
bb2 - Juicehaccpfirstedition PDF
bb2 - Juicehaccpfirstedition PDF
Training Curriculum,
First edition
August 2002
Notes:
Chair
Peter Slade, Illinois Institute of Technology
Editorial Committee
Byron Beerbower, Michigan Department of Agriculture
Matt Botos, Illinois Institute of Technology
Les Bourquin, Michigan State University
Richard Dougherty, Washington State University
Tammy Foster, Tropicana
Renee Goodrich, University of Florida Citrus Research & Education Center
Linda Harris, University of California, Davis
Kai-Lai Grace Ho, Praxair
Yolanda Howe, Motts
Dan King, Florida Citrus Processors Association
Mickey Parish, University of Florida, Citrus Research & Education Center
John Rushing, North Carolina State University
Allen Sayler, International Dairy Foods Association
Charles Sizer, Illinois Institute of Technology
Mary Wang, California Depart ment of Public Health
Lisa Weddig, Food Processors Institute
Eric Wilhelmsen, ATP Consulting
Debi Williams, Florida Department of Agriculture and Consumer Services
Chris Wogee, California Department of Health Services
Randy Worobo, Cornell University
Notes:
ii
Notes:
This manual emphasizes certain basic concepts in HACCP. HACCP is a food safety
program that operates in an environment of properly implemented prerequisite programs that are properly monitored and documented. Corrections are made when
necessary. Potential hazards those which could cause illness or injury to the consumer in the absence of their control - are identified and evaluated in light of these
prerequisite programs to determine their likelihood of occurrence. A prerequisite
program may be found to reduce the likelihood of occurrence of a potential hazard.
However, hazards that are reasonably likely to occur must be controlled by critical
control points. The combination of the prerequisite programs and the HACCP plan
comprises the HACCP system. This system is to be verified according to the plan.
In order to ensure that training instills the concepts above, the Juice HACCP Alliance recommends that this course be presented by a trainer who has training and experience with NACMCF HACCP principles. Train-the-trainer courses have been
designed to ensure consistency in the use and application of these materials and exercises, to convey regulatory perspective, and to provide practical, juice-specific applications that lead to juice HACCP plan development.
This alliance owes a special dept of gratitude for the exceptional efforts of Drs. Peter
Slade and Kathy Knutson of the NCFST/IIT for leadership, coordination and the
final editing of the text. We als o appreciate the efforts of Ms. Jodi Skrip and Dr.
Sam Palumbo (NCFST/IIT) for respectively preparing and reviewing draft versions
of the text.
iii
Notes:
iv
Notes:
Notes:
Instructors Notes:
Instructors may wish to begin the
program by introducing themselves
and asking each student to give his/
her name, title, affiliation or the nature of the company or organization.
Students may be from the private
sector or from government agencies.
If the student is from industry, the
types of products each processes and
handles might be discussed briefly.
After the introduction, the instructors
should cover meeting logistics: directions to bathrooms, phones, food establishments, smoking areas, etc. St udents should be informed that the
course is designed to provide a morning and afternoon break each day.
Instruction should proceed with the
introduction provided in Chapter 1.
vi
Notes:
Day One
Welcome
Introduction to the Course and HACCP.Chapter 1
Hazards Biological, Chemical, and Physical..Chapter 2
Prerequisite Programs and Preliminary Steps ...............................................Chapter 3
Break Out Session: Exercise One. Prerequisite Programs and Preliminary Steps
Team Presentations and Class Discussion
Commercial Processing Example: Refrigerated Pasteurized
Apple Juice ....................................................................................................Chapter 4
Principle 1. Hazard Analysis .........................................................................Chapter 5
Break Out Session: Exercise Two. Hazard Analysis
Instructors Note:
Schedule lunch and breaks as
appropriate.
Day Two
Team Presentations and Class Discussion on Exercise Two
Principle 2. Determine the Critical Control Points .......................................Chapter 6
Principle 3. Establish Critical Limits ............................................................Chapter 7
Principle 4. Critical Control Point Monitoring .............................................Chapter 8
Principle 5. Corrective Actions .....................................................................Chapter 9
Break Out Session: Exercise Three. Critical Control Points
Team Presentations and Class Discussion
Principle 6. Verification Procedures ...........................................................Chapter 10
Principle 7. Record-Keeping Procedures ....................................................Chapter 11
Break Out Session: Exercise Four. The HACCP Plan
Team Presentations and Class Discussion
Day Three
The Juice HACCP Regulation ....................................................................Chapter 12
Sources of Information on Preparing HACCP Plans ..................................Chapter 13
Final Discussion
Course Evaluation and Examination
vii
Notes:
viii
Notes:
Overhead 1
Objectives
In this module you will learn:
Objective of the course
Format of the course
Expectations of the participant
Meaning and importance of HACCP
Course Objective
In January 2001, the Food and Drug Administration (FDA) issued juice regulations
based on the principles of Hazard Analysis and Critical Control Point (HACCP).
The FDA issued these regulations to ensure safe processing and importing of juice.
These regulations specify that certain critical jobs in juice processing must be performed by individuals trained in HACCP. These persons are responsible for developing and modifying the HACCP plan and reviewing records. This course contains
the information necessary for you or a team to meet the HACCP training require ments. It is also designed to provide inspectors with the knowledge they need to
evaluate HACCP plans and practices.
Course Fo rmat
This juice HACCP course is divided into three distinct segments:
1. HACCP fundamentals.
2. An orientation to the requirements of the juice HACCP regulation.
3. Work sessions to develop a juice HACCP plan.
The first segment defines the seven principles of HACCP. Learning these principles
will give a clear understanding of the fundamentals on which HACCP is based. As
each principle is discussed, the class will develop a HACCP plan for pasteurized,
refrigerated apple juice using the fictional XYZ Juice Co. as a model. This will help
you to understand HACCP principles and how they interrelate.
The second segment explains the juice HACCP regulation and the guidance materials that are available to help you develop a HACCP plan. The manual also presents
information about juice-specific hazards.
The third segment demonstrates how to develop a juice HACCP plan. During this part
of the course, the class will be divided into teams to write a HACCP plan based on a
narrative and flow chart.
HACCP
Hazard Analysis
and Critical Control Point
HACCP is merely an acronym that stands for Hazard Analysis and Critical Control
Point. But the concept behind this term is important.
Notes:
HACCP
Is preventive, not reactive
Is a management tool used to protect
the food supply against biological,
chemical and physical hazards
HACCP is a preventive system of hazard identification and control rather than a re active one. Food processors can use it to ensure safer food products for consumers.
To ensure safer food, the HACCP system is designed to identify hazards, establish
controls, and monitor these controls. Hazards can be in the form of harmful microorganisms, chemical adulterants, or physical contaminants.
Overhead 4
Origins of HACCP
Pioneered in the 1960s
First used when foods were developed
for the space program
Adopted by many food processors in
the U.S.
The Pillsbury Co. pioneered the application of the HACCP concept to food production during its efforts to supply food for the U.S. space program in the early 1960s.
Pillsbury decided that their existing quality control techniques did not provide adequate assurance against contamination during food production. The company found
that end-product testing necessary to provide such assurance would be so extensive
that little food would be available for space flights.
Overhead 5
HACCP
Is not a zero -risk system
It is designed to minimize the risk
of food safety hazards
The only way to ensure safety, Pillsbury concluded, would be to develop a preventive
system that kept hazards from occurring during production. Since then, Pillsbury's
system has been recognized worldwide as the method of choice for control of food
safety hazards. It is not a zero-risk system, but it is designed to minimize the risk of
food safety hazards. The FDA first required HACCP-based controls for food processing in 1973 for canned foods to protect against Clostridium botulinum, the bacterium
that causes botulism.
Overhead 6
Recommendation
The HACCP approach be adopted by all
regulatory agencies and that it be
mandatory for food processors.
National Academy of Sciences, 1985
Notes:
Overhead 7
Explanatory Note:
NACMCF is continuing to refine the
HACCP principles in an effort to
make them more user-friendly and
effective. In August 1997, NACMCF
adopted revised HACCP guidelines.
To the extent possible, many of the
changes have been incorporated into
this manual. Most obviously, Principles 6 and 7 were switched, thereby
making record-keeping Principle 7.
Additionally, "preventative measures"
was changed to "control measures."
Instructors and students should be
aware of the dynamic nature of
HACCP and not be surprised or confused as the principles are refined.
Overhead 8
These principles will be explained in more detail in the following sessions. The juice
HACCP regulation and other domestic and international HACCP control systems are
based on these principles.
Overhead 9
International Use
Codex Alimentarius
European Union
Canada
HACCP
A system for food safety control
Notes:
Overhead 11
With HACCP, the emphasis is on understanding the process system. This requires
the regulator and industry to communicate and to work with one another. The inspector will be verifying the HACCP plan by determining that significant food
safety hazards have been properly identified and that industry is consistently controlling these hazards. The inspector will accomplish this by first surveying the plant
and then reviewing the HACCP plan and records. In addition to HACCP inspections, regulators will continue to look for compliance in areas such as sanitation,
economic fraud, food standards, etc.
Overhead 13
Acting FDA Commissioner Dr. Bernard Schwetz on October 10, 2001 said,
HACCP systems represent a systematic approach to the identification and control
of the biological, chemical, and physical hazards that are reasonably likely to occur
in a particular food in a particular production process. He also noted that
(implementation of HACCP regulations for fruit and vegetable juices) will prevent
at least 6,000 illnesses per year.
In defining the roles of industry and the regulatory agencies in HACCP, the
NACMCF document indicates "It is the responsibility of the food industry to develop and implement HACCP plans and for regulatory agencies to facilitate this
process." Or, in other words, the role of the government is to ensure that industry
adheres to their role.
Notes:
Glossary
Control Measure: Any action or activity to prevent, reduce to acceptable levels, or eliminate a hazard.
Corrective Action: Procedures followed when a deviation occurs.
Critical Control Point (CCP): A point, step, or procedure in a food process at
which a control measure can be applied and at which control is essential to reduce an identified food hazard to an acceptable level.
CCP Decision Tree: A sequence of questions asked to determine whether a
point, step or procedure in the process is a CCP.
Critical Limit: A maximum and/or minimum value to which a biological,
chemical or physical parameter must be controlled at a CCP to prevent, eliminate or reduce to an acceptable level the occurrence of the identified food hazard.
Culled: Separation of damaged fruit from undamaged fruit. For processors of
citrus juices using treatments to fruit surfaces to comply with 120.24, culled
means undamaged, tree-picked fruit that is U.S. Department of Agriculture
choice or higher quality.
Deviation: Failure to meet a critical limit.
10
Fallen Fruit: Fruit that has fallen naturally from the tree to the ground in an
orchard. It does not include mechanically harvested fruit, wh ich is obtained by
shaking the tree and collecting the fruit from the ground with appropriate
mechanical machinery; also called grounders, windfall fruit, drops.
Five -log (5-log) Reduction: A treatment of juice (or citrus fruit if using surface
treatments) using a process that will achieve at least a 100,000 fold (5-log)
decrease in the numbers of the pertinent pathogen.
HACCP: A systematic approach to the identification, evaluation and control of
food safety hazards.
HACCP Plan: The written document that is based upon principles of HACCP
and that delineates the procedures to be followed.
HACCP System: The result of the implementation of the HACCP plan.
HACCP Team: The group of people who are responsible for developing,
implementing and maintaining the HACCP system.
HACCP-Trained Individual: An individual who performs certain functions
related to the development of the hazard analysis and HACCP plan and the verification, validation, corrective action, and record review requirements of the
regulation, who has received training based on a standardized curriculum that
FDA recognizes as adequate, or its equivalence.
Hazard: A biological, chemical or physical agent that is reasonably likely to
cause illness or injury in the absence of its control.
Hazard Analysis: The process of collecting and evaluating information on
hazards associated with the food under consideration to decide what hazards are
significant and must be addressed in the HACCP plan.
Importer: Either the U.S. owner or consignee at the time of entry of a food
product into the United States, or the U.S. agent or representative of the foreign
owner or consignee at the time of entry into the United States. The importer is
responsible for ensuring that goods being offered for entry into the United
States are in compliance with all applicable laws. For the purposes of this
definition, the importer is ordinarily not the custom house broker, the freight
forwarder, the carrier, or the steamship representative.
Juice: The aqueous liquid expressed or extracted from one or more fruits or
vegetables, purees of the edible portions of one or more fruits or vegetables, or
any concentrates of such liquid or puree.
Juice Concentrate : The aqueous liquid expressed or extracted from one or
more fruits or vegetables and reduced in weight and volume through the
removal of water from the juice.
Monitor: To conduct a planned sequence of observations or measurements to
assess whether a process, point, or procedure is under control and to produce an
accurate record for future use in verification.
Operating Limit: A criterion that is more stringent than a critical limit and that
is used by an operator to reduce the risk of a deviation.
Performance Standard: A goal that processors should achieve but with
flexibility on how processors accomplish them.
Pertinent Pathogen: The most resistant microorganism of public health concern that may occur in juice.
Prerequisite Programs: Procedures, including current Good Manufacturing
Practices (cGMPs), that address operational conditions providing the foundation
for the HACCP system.
Notes:
Acronyms
11
12
Notes:
Overhead 15
Objectives
In this module you will learn to develop
awareness of:
Biological hazards
Chemical hazards
Physical hazards
Characteristics of certain microorganisms
Explanatory Note:
Whether a particular hazard listed in
this chapter will need to be addressed
in a HACCP plan will depend on an
evaluation of the likelihood of occurrence of the hazard and its likelihood
to cause illness or injury in the absence of its control.
This evaluation is explained in the
next chapter. This chapter is intended
as a general discussion on hazards.
For information on juice-specific
hazards, refer to the Hazards and Controls Guide.
To perform a hazard analysis for the development of a HACCP plan, food processors must gain a working knowledge of potential hazards. The HACCP plan is
designed to control all identified food safety hazards that are likely to occur. Such
hazards are categorized into three classes: biological, chemical and physical.
Overhead 16
Definition
Hazard: a biological, chemical or physical
agent that is reasonably likely to cause
illness or injury in the absence of its
control
Explanatory Note:
Students may ask why some hazards
are classified as chemical rather than
biological. The best answer is tradition. It is important to stress, however,
that the significant issue is not the
actual classification of a hazard, but
accurate identification and control.
13
It is important to understand that, for the purposes of HACCP, hazards only refer to
the conditions or contaminants in food that can cause illness or injury to people.
Many conditions are highly undesirable in food, such as the presence of insects,
hair, filth or spoilage. Economic fraud and violations of regulatory food standards
are equally undesirable. All of these defects must be controlled in food processing.
However, they often are not directly related to the safety of the product. Unless thes e
conditions directly affect food safety, they are not included in a HACCP plan.
Overhead 17
Hair
Filth
It is not within the scope of this course to go into detail on foodborne hazards. That
topic is too large and would be covered better in a separate microbiology, toxicology
and/or food processing course. However, this chapter will increase awareness of the
kinds of hazards that may occur in foods. This awareness will prepare participants
for recognizing what is and is not appropriate to control with HACCP. Food processors may find it necessary to work with technical experts to develop a HACCP plan.
Biological Hazards
Foods can contain biological hazards. These hazards can come from raw materials
or from food processing steps used to make the final product. Table 2.8 (at the end
of the chapter) provides a list of biological hazards.
Microorganisms
Organisms too small to be seen with the naked eye are called microorganisms. Microorganisms are found everywhere: air, dirt, fresh and salt water, skin, hair, animal
fur and plants.
Microorganisms are classified into various groups. A few groups important in foods
include yeasts, molds, bacteria, viruses and protozoa. Since microorganisms are so
widespread, it is important to understand when to be concerned about them and how
to deal with them.
Although thousands of kinds of microorganisms exist, only a few pose hazards to
humans. These hazardous microorganisms, or pathogens, will be discussed in more
detail later.
14
Notes:
People may come into contact with thousands of kinds of yeasts, molds, bacteria,
viruses and protozoa daily without ill effect. Therefore, when foods are processed
and preserved, food processors and regulators need only be concerned with certain
microorganisms, particularly pathogens.
Overhead 18
Bacteria, one type of microorganism too small to be seen without a microscope, are
alive and have certain needs in order to live and grow. Without a supply of adequate
food and water and the appropriate temperature, bacteria stop growing and multiplying. Some die; others stop functioning until their needs are met. Some preservation
methods control the water or nutrients in food, making these essential elements
unavailable to bacteria.
Overhead 19
What Do Microorganisms
(Other than Viruses) Need?
Food
Water
Proper temperature
Air (O2) - no air - minimal air
Proper acidity
15
Different bacteria respond differently to air. Like most plants and animals, many
microorganisms need air to live and will die or stop growing if deprived. However,
many bacteria can function without air. Some are poisoned by it. Unfortunately,
pathogens exist in each of these categories. Although some bacteria can be
controlled by the amount of air they receive, it is not an effective way of
controlling all pathogens.
Microorganisms multiply in different ways. The most common method, especially
for yeasts, bacteria and protozoa, is to grow large and divide. One bacterium splits
into two, two into four, four into eight, eight into sixteen, and so on. By doubling,
microorganisms multiply quickly. Under ideal conditions, some bacteria double
every 20 minutes. Potentially, one bacterium can multiply to more than 30,000 in
five hours and to more than 16 million in eight hours. Fortunately, most bacteria
grow more slowly than this and can be slowed even more by controlling the food,
water and temperature that they need to grow and multiply.
Overhead 20
Bacteria reproduce by
dividing in two.
Overhead 21
16
Notes:
Microorganisms form by-products during growth. The more they grow, the more
by-products they form. Some of the by-products are desirable in the right foods. For
example, when yeasts grow in dough, they produce carbon dioxide, acids and
flavors. The dough rises, and we make bread. However, when the same yeasts grow
and produce the same by-products in another food, such as fruit juice, it may not be
desirable. Then we call it spoilage. Such spoilage is undesirable, and processors
strive to avoid it in food. In addition, some by-products produced by pathogens are
toxic and can cause disease.
Overhead 23
Food spoilage or
decomposition that can result
in a food safety problem should
be prevented or controlled by a
HACCP program.
Food contaminated by pathogens or by toxic microbial by-products may not look,
smell or taste bad, but can make a person sick. Food spoilage or decomposition that
can result in food safety problems should be prevented or controlled by a HACCP
program.
During the processing of foods, the amounts and types of microorganisms can
increase, remain constant, or be reduced. Even though processing can be used
to destroy harmful microorganisms, some non-harmful microorganisms can
survive the treatment.
17
Microbiological Hazards
Bacteria
Viruses
Protozoa
Among the five groups of microorganisms described earlier, mainly bacteria, viruses
and protozoa include the kinds of microorganisms that can make food unsafe for
consumption. Generally, yeast and molds do not pose a biological hazard in food.
Some molds produce hazardous toxins, but these toxins are considered chemical
hazards.
Overhead 25
Bacterial Hazards
Bacterial hazards are defined as those bacteria that, if they occur in food, may cause
illness in humans, either by infection or intoxication. Foodborne infections are
caused by swallowing living pathogens that grow within the body, usually in the
ntestinal tract. They differ from foodborne intoxications, which are illnesses caused
by swallowing preformed toxins (i.e., toxins are produced by microorganisms in the
food before it is eaten).
18
Notes:
Overhead 26
Examples of Sporeforming
Bacteria (Pathogenic)
Clostridium botulinum
Clostridium perfringens
Bacillus cereus
Overhead 27
Examples of Non-Sporeforming,
Vegetative Bacteria (Pathogenic)
Campylobacter jejuni
Pathogenic Escherichia coli (e.g., E. coli
O157:H7)
Listeria monocytogenes
Salmonella spp. (e.g., S. Typhimurium,
S. Enteritidis)
Shigella spp. (e.g., S. dysenteriae)
Enterotoxigenic Staphylococcus aureus
19
Why a hazard?
Clostridium botulinum
(sporeformer)
Listeria monocytogenes
(nonsporeformer)
Salmonella spp.
(nonsporeformer)
Causes an infection with the following symptoms: nausea, vomiting, abdominal cramps, diarrhea, fever and
headache. Death is possible in people with weak immune systems.
Viral Hazards
Like other microorganisms, viruses exist everywhere. They are very small particles
that cannot be seen with a light microscope and cannot reproduce by themselves.
Although they are alive, viruses differ from other microorganisms in what they need
to live and how they multiply. Viruses exist in foods without growing, so they need
no food, water or air to survive. They do not cause spoilage. Viruses cause illness by
infection. They can infect living cells and reproduce inside the host cell using material from it. Viruses only grow once they enter a suitable host. Only some viruses
consider humans a suitable host. Viruses can survive in human intestines, contaminated water and frozen foods for months.
20
Notes:
Viral Hazards
Viruses can be found in people who were previously infected but are no longer ill.
Viruses can also be present in people who show no outward signs of illness (carriers,
but see Table 2.2 for description of usual symptoms). Transmission of viruses to
foods is usually related to poor hygienic practices. People who have viruses shed the
virus particles in feces. Food handlers with viruses can transmit them to food if they
forget to properly wash and sanitize their hands. This route can also result in
contamination of food with bacterial hazards.
Table 2.2. Examples of Viral Hazards Found in Food
Microorganism
Why a hazard?
Hepatitis A virus
Norwalk virus
Rotavirus
21
Overhead 29
Viruses
Hepatitis A
Norwalk Virus Group
Rotavirus
Parasites in Food
Parasites are organisms that need a
host to survive
Thousands of kinds exist worldwide, but
only about 100 types are known to
infect people through food consumption
Mainly protozoa
Role of fecal material
22
Notes:
Why a hazard?
Cryptosporidium parvum
Cyclospora cayetanensis
Entamoeba histolytica
Giardia lamblia
23
Overhead 31
Parasitic Protozoa
Cryptosporidium parvum
Cyclospora cayetanensis
Entamoeba histolytica
Giardia lamblia
Chemical Hazards
Chemical contamination can happen at any stage in food production and processing.
Some chemicals can be helpful and are purposefully used with some foods, such as
pesticides on fruits and vegetables. These chemicals are not hazardous if properly
used or controlled. Potential risks to consumers increase when chemicals are not
controlled or the recommended treatment rates are exceeded. The presence of a
chemical residue may not always represent a hazard. The amount or type of the
chemical may determine whether it is a hazard or not. Some may require exposure
over prolonged periods to have a toxic effect. Regulatory limits are set for some of
those contaminants.
Chemical hazards can be separated into three categories:
1. Naturally-occurring chemicals.
2. Intentionally-added chemicals.
3. Unintentional or incidental chemical additives.
The types of chemicals included in these categories are listed in Table 2.9 at the end
of the chapter.
Naturally-Occurring Chemicals (including allergens)
These chemicals are derived from a variety of plants, animals or microorganisms. In
most cases, these naturally-occurring chemicals are found prior to or during
harvest. Although many naturally-occurring toxins are biological in origin,
they are traditionally categorized as chemical hazards.
Explanatory Note:
Some of these limits (such as for aflatoxin) can be found in Title 21 of the
Code of Federal Regulations and in
the FDA Compliance Policy Guides.
24
Why a hazard?
Elderberry
Overhead 32
Types of Naturally-Occurring
Chemical Hazards
Allergens
Mold toxins (mycotoxins)
Toxic plant components
Notes:
Explanatory Note:
Allergic reactions are caused by
proteins (allergens) that react with the
body's natural immune system. This
type of chemical hazard is of concern
to individuals who are sensitive to the
allergen*. However, some other food
components t hat may cause adverse
reactions in sensitive individuals,
e.g. sulfites and FD&C Yellow No. 5,
may need to be addressed in the
hazard analysis.
* It is particularly important that
foods formulated with components
that are known to produce these types
of reactions have these ingredients
clearly identify on the label. HACCP
controls, i.e., CCPs, must be
established to ensure that foods
formulated with components that are
known to produce serious allergenic
reactions must have the allergenic
ingredients declared on their labels.
CCP or SSOP controls may be necessary to prevent contamination of foods
with allergens, e.g. when juice is
processed on lines that are also used
to process dairy foods such as milk.
Intentionally-Added Chemicals
Some chemicals are intentionally-added to food at some point during production and
processing. These chemicals are intended to be used at safe levels, but could present
a hazard if those levels are exceeded.
Explanatory Note:
Certain food additives must have prior
approval before they can be used in
foods. Before using a new food
additive, food processors should
review the appropriate regulations for
approval status and any limitations
on its use.
Indirect food additives require
appropriate regulatory approval and
may include lubricants, cleaning
compounds and sanitizers.
25
Table 2.5. Examples of Food Additives That May Become Chemical Hazards if
Used Improperly
Source
Why a hazard?
Sodium nitrite
(preservative)
Vitamin A
(nutritional supplement)
Sulfiting agents
(preservative)
Overhead 33
Intentionally-Added
Chemicals - Food Additives
Direct (allowable limits under cGMPs)
Preservatives (e.g., sodium benzoate and
sulfiting agents)
Nutritional additives (e.g., calcium)
Color additives
Overhead 34
Intentionally-Added
Chemicals - Food Additives
(contd)
Indirect
Packaging materials
Processing plant chemicals
Lubricants (food grade)
Sanitizers
26
Notes:
Unintentional or Incidental
Chemical Contaminants
Agricultural chemicals (e.g., pesticides,
fungicides, herbicides, fertilizers, and other
residues)
Prohibited substances (21 CFR Part 189)
Toxic elements/compounds (e.g., lead, tin,
copper, zinc, arsenic, mercury, cyanide)
Explanatory Note:
A partial list of prohibited substances
can be found in Title 21 CFR Part 189
of the Code of Federal Regulations,
"Substances Prohibited from Use in
Human Food."
Overhead 36
Unintentional or Incidental
Chemical Contaminants (contd)
Cross-contaminating food allergens from
inadequately cleaned shared processing
equipment
Processing plant chemicals (e.g., lubricants,
cleaners and sanitizers)
27
Why a hazard?
Agricultural chemicals
(e.g., pesticides, herbicides)
Cleaning chemicals
(e.g., acids, caustics)
Equipment components
(e.g., copper pipe fittings)
Maintenance chemicals
(e.g., lubricants)
Packaging materials
(e.g., tin)
High nitrite levels in food can cause excessive detin ning of uncoated cans resulting in excessive levels
of tin in food.
Physical Hazards
Physical hazards include any potentially harmful extraneous matter not normally
found in food. When a consumer mistakenly eats the foreign material or object, it is
likely to cause choking, injury or other adverse health effects. Physical hazards are
the most commonly reported consumer complaints because the injury occurs
immediately or soon after consumption, and the source of the hazard is often
easy to identify. Table 2.10 at the end of the chapter lists the types of materials
that can be physical hazards in foods.
28
Why a hazard?
Glass
Plastic
Metal
Notes:
Overhead 37
Physical Hazard
Any potentially harmful extraneous
matter not normally found in food
29
Campylobacter jejuni
Pathogenic Escherichia coli (e.g., E. coli O157:H7)
Listeria monocytogenes
Salmonella spp. (e.g., S. Typhimurium, S. Enteriditis)
Shigella spp. (e.g., S. dysenteriae)
Staphylococcus aureus
Vibrio spp. (e.g., V. cholerae, V. parahaemolyticus, V. vulnificus)
Yersinia enterocolitica
Viruses
Hepatitis A
Norwalk virus group
Rotavirus
Parasitic Protozoa
Cyclospora cayentanensis
Cryptosporidium parvum
Entamoeba histolytica
Giardia lamblia
30
Notes:
31
32
Sources
Glass
Plastic
Metal
Notes:
Overhead 38
Objectives
In this module you will learn:
The role of prerequisite programs
Preliminary steps involved in developing
HACCP plans
Explanatory Note:
This chapter is not intended to
be an exhaustive discussion of
all elements that could be included in prerequisite programs.
Prerequisite Programs
HACCP is not a stand-alone program but is one part of a larger system of control
procedures. For HACCP to function effectively, it should be accompanied by
prerequisite programs such as those discussed in this chapter.
Overhead 39
HACCP systems are designed to identify and control food safety hazards associated with
food from the time a company receives raw material through processing to distribution to
the consumer. HACCP systems must be built upon a firm foundation of compliance with
Good Manufacturing Practices (GMPs) (21 CFR Part 110) acceptable sanitation standard
operating procedures (SSOPs) and appropriate industry practices. GMPs and sanitation
procedures affect the processing environment and should be considered prerequisite
programs to HACCP.
August 1, 2002 - First Edition
33
Overhead 40
Definition
Prerequisite programs: procedures,
including GMPs and SSOPs, that address
operational conditions providing the
foundation for the HACCP system
The GMPs define measures of general hygiene as well as measures that prevent food
from becoming adulterated due to unsanitary conditions. The GMPs are broadly
focused and encompass many aspects of plant and personnel operations. SSOPs are
procedures used by food processing firms to help accomplish the overall goal of maintaining GMPs in the production of food. Typically, SSOPs describe a particular set of
objectives associated with sanitary handling of food, the cleanliness of the plant environment, and the activities conducted to meet those objectives.
When SSOPs are well-designed and fully and effectively implemented, they are valuable
in reducing the likelihood of occurrence of a hazard. Identification of critical control
points may be influenced by the effectiveness of prerequisite programs including GMPs
and SSOPs. For example, SSOPs can help reduce the likelihood of occurrence of a
hazard by: (1) preventing product cross-contamination, (2) providing handwashing and
sanitizing stations near the processing area to facilitate proper employee hygiene, and
(3) ensuring appropriate equipment maintenance and cleaning and sanitizing procedures.
SSOPs can likewise be used to help control chemical contamination from sanitizers and
other chemicals found in food processing operations.
Explanatory Note:
The juice HACCP regulation
requires that each processor has
and implements SSOPs.
The eight areas of sanitation
identified in the juice HACCP
regulation (discussed in
Chapter 12) must be monitored
and documented by all processors regardless of whether a firm
has a written SSOP or is
required to have a HACCP plan.
34
In some situations, properly implemented SSOPs may lead to a determination that a CCP
is unnecessary. In some instances, plant sanitation, employee hygiene and strict handling
procedures are often as important in preventing cross-contamination as other steps, such
as pasteurization, that might be identified as CCPs in HACCP plans.
When SSOPs are in place, the focus of the HACCP plan becomes the hazards associated
with the product or the process which must be controlled and not the manufacturing plant
environment. If sanitation controls are included as part of a HACCP plan, they must lend
themselves to all aspects of a CCP such as establishing critical limits, monitoring,
corrective actions, verification and record-keeping procedures, to be discussed.
Cleaning and sanitizing post-pasteurization handling equipment, such as a filler, is an
example of a sanitation control that might be handled as a CCP within a HACCP plan.
The system's effectiveness can be monitored, critical limits can be established, monitoring records can be maintained, and appropriate corrective actions can be established
when the critical limits are not met. On the other hand, a processor's general cleaning
and sanitizing program should be included in its SSOPs rather than its HACCP plan.
Procedures for these will be considered later.
Notes:
An important component in any sanitation program is monitoring. Methods for monitoring sanitation practices will vary according to the type and size of a food processing
operation. Oftentimes a simple checklist can describe the sanitation procedures and at the
same time provide a mechanism to document results. The frequency of checks will vary
as necessary to assure that the SSOPs remain in control. For example, in certain processing plants, the safety of the processing water may be checked annually. However, the
water from other plants may require more frequent checks because of their location.
Grounds surrounding a plant may require only periodic checks to ensure that they do not
attract and harbor pests, but cooler-storage areas and floor drains may need daily
inspection. Relatively more frequent checks might be required for work surfaces,
hand-wash stations and employee attire. The Juice HACCP Regulation requires monitoring and documentation to cover at least the eight key sanitation conditions and practices.
Any correction necessary to maintain control of the SSOPs must also be documented.
These corrections are documented as part of the SSOP records. An example of an SSOP
checklist is given in Chapter 4.
Overhead 41
35
Co mmon prerequisite programs may include but are not limited to:
Facilities. The establishment should be located, constructed and maintained according to sanitary design principles. There should be linear product flow and traffic
control to minimize cross-contamination from raw to cooked materials.
Supplier Control. Each facility should ensure that its suppliers have in place
effective cGMP and food safety programs.
Specifications. There should be written specifications for all ingredients, products,
and packaging materials.
Production Equipment. All equipment should be constructed and installed according
to sanitary design principles. Preventive maintenance and calibration schedules
should be established and documented.
Cleaning and Sanitation. All procedures for cleaning and sanitation of the equipment
and the facility should be written and followed. A master sanitation schedule should
be in place.
Personal Hygiene. All employees and other persons who enter the manufacturing
plant should follow the requirements for personal hygiene.
Training. All employees should receive training in personal hygiene, cGMPs, cleaning and sanitation procedures, personal safety, and their role in the HACCP
program. Companies may wish to maintain records of employee training activities.
Chemical Control. Documented procedures should be in place to assure the segregation and proper use of non-food chemicals in the plant. These include cleaning
chemicals, fumigants and pesticides or baits used in or around the plant.
Receiving, Storage and Shipping. All raw materials and products should be stored
under sanitary conditions and the proper environmental conditions such as
temperature and humidity to ensure their safety and wholesomeness.
Traceability and Recall. All raw materials and products should be lot-coded and a
recall system in place so that rapid and complete traces and recalls can be done
when a product retrieval is necessary.
Pest Control. Effective pest-control programs should be in place.
36
Notes:
HACCP is often thought of in terms of its seven basic principles. However, HACCP also
includes preliminary steps. Failure to properly address the preliminary steps may lead to
ineffective design, implementation and management of the HACCP plan.
Overhead 42
Preliminary Steps
1. Assemble HACCP team.
2. Describe food and its distribution.
3. Identify intended use and consumers
of food.
4. Develop process flow diagram.
5. Verify flow diagram.
Preliminary Steps
There must be clear management commitment to successfully design and implement a
HACCP program. Assembling a HACCP team is an important step in achieving this. The
team should consist of individuals with different specialties. The team may include
personnel from maintenance, production, sanitation, and quality assurance. The HACCP
team should include members who are directly involved with the plant's daily operations.
The team documents the prerequisite programs, writes the SSOPs, develops and
validates the HACCP plan, and implements and verifies the HACCP system. The team
should have access to technical expertise and knowledge about food safety hazards and
their control. The team should be led by a HACCP-trained individual. When issues
arise that cannot be resolved internally, it may be necessary to enlist outside experts
or other resources.
Although a single person may be able to analyze hazards and develop a HACCP plan
successfully, many companies find it helpful to build a HACCP team. When only one
person develops the HACCP plan, some key points can be missed or misunderstood in
the process, but the biggest concern is with implementation and buy-in. The team
approach also encourages ownership of the plan, builds company involvement and brings
in broader, cross-functional expertise.
In small companies, the responsibility for writing the HACCP plan may fall to one
person. If it is possible to build a HACCP team in a small company, employees knowledgeable of various operations, including owners, should be members. Universities,
cooperative extension services, consulting groups, model plans and published guidance
can provide additional assistance.
37
Incoming Materials
Processing
Packaging
Distribution
Storage
The HACCP team should walk through the facility and make any required changes in the
flow diagram. The walk-through allows each team member to gain an overall picture of
how the product is made. It may be helpful to invite additional plant personnel to review
the diagram during the walk-through.
38
Notes:
Overhead 44
Management commitment
Training resources
Personnel time
Funding
Delegation of authority
Employee training
Management Commitment
For a HACCP plan to work, it is extremely important to have the support of top company
officia ls such as the owner, director and chief executive officer. Without it, HACCP will
not become a company priority or be effectively implemented.
Employee Training
Education and training are important elements in developing and implementing a
HACCP progra m. Employees who will be responsible for the HACCP program must
be adequately trained in its principles. This course is designed to meet that need.
39
40
Notes:
To facilitate our discussion of HACCP, the XYZ Apple Juice Co. is introduced.
With this fictitious company as a base, evolution of a HACCP plan for apple juice
will be discussed and illustrated. Keep in mind that the HACCP plan developed for
XYZ Apple Juice Co. is primarily intended to demonstrate the procedures used in
plan development. Since HACCP plans are very product, process and plant specific,
XYZ Apple Juice Co.'s plan may not be suitable for other firms.
Processing narratives can help explain the current processing steps needed to
produce a product covered by a particular HACCP plan. They offer a historical,
working re ference for the processor and facilitate communication with the staff and
inspectors. For these reasons, a written narrative should accompany a HACCP plan.
Procedures/Steps:
INCOMING MATERIALS
Locally grown fresh apples: Winesap, Paula Reds, MacIntosh, Red and Golden
Delicious are purchased directly from farms. Apples are received bulk in
wooden boxes containing approximately 40 bushels and upon receipt are
visually examined for gross filth. Following acceptance, the apples are
assigned a lot number, and placed in refrigerated storage. Furthermore,
a supplier agreement specifying that the apples are tree-pic ked is in effect
for each incoming shipment of apples.
PROCESSING
Apples are transferred from refrigerated storage to the processing area. Apples
are dumped from bulk boxes onto a slotted hopper where stems, leaves, and
other extraneous materials are removed.
From the slotted hopper, the apples go into a flume tank containing
treated water.
Apples are elevated, dewatered and moved to the processing facility over
inspection rollers where visually defective apples are removed.
[Note: Defective apples are diverted, not to be used for human consumption.]
Accepted apples continue on to a wet scrubber where they are brushed and
sprayed with treated water. Then, the apples pass across a rubberized roller
where they are partially dried.
41
Explanatory Note:
Processing aids for filtration and
clarification are not included in this
model. It is important these steps are
evaluated in a hazard analysis.
Apples are elevated, rinsed in potable water, drained, and dropped into a
hammermill grinder.
After grinding, the slurry goes to a continuous belt press where the pomace
and juice slurry are separated.
The juice slurry is screened to separate the juice from the pulp and to achieve a
particle size compatible with the pasteurizer manufacturers specifications.
The juice is collected and pumped to a balance tank where juice is held until it
goes to the pasteurizer. The positive displacement timing pump and holding
tube are constructed to deliver a constant flow rate of the juice through the heat
exchanger to ensure that it is heated for the minimum required time.
The juice is pasteurized in a plate heat exchanger, which heats the juice to a
predetermined temperature, holds the juice for a set time and cools the juice
as it exits.
The juice is pumped into a refrigerated bulk storage tank and from there
pumped to the filler.
PACKAGING
Plastic containers are cleaned using compressed air. Each primary container is
identified by the production date, code, and lot number.
Juice is pumped into a reservoir on the filler and gravity-fed into 1-gallon
plastic containers that are pre-labeled.
Filled, dried containers are check weighed and packed into shipping cartons as
required by the customer. Each shipping carton is marked with a code identical
to the code on the primary containers within the carton. Each shipper carton is
palletized in accordance with customer or company specifications. Pallets are
then conveyed to a storage cooler.
STORAGE/SHIPPING
42
All finished product is placed into cooler storage without delay. All product is
stored and shipped on a first-in, first-out basis.
Notes:
Cold Storage
Dry Storage
Culling (inspection)
Compressed Air
Brush/Wash (wet scrubber)
Rinsed
Defective Apples,
Pomace and Pulp
diverted to nonfood use.
Cleaned
Drained
Grind
Press
Screen
Holding Tank
Pasteurizer/Cooler
Holding Tank
Fill
Cap
Case/Code/Palletize
Cold Storage
Ship
43
1. Safety of Water
Explanatory Note:
FDA's regulation requires records of
eight key sanitation operations. XYZ
Apple Juice Co. has identified 15
goals in their SSOPs to meet these
requirements. In practice, these goals
may not be appropriate or the same
for all operations.
A. Goal: Water that comes into direct contact with food or food-contact surfaces
is derived from a safe and sanitary source or is treated to make it safe.
Procedure:
XYZ Apple Juice Co. will use well water. The water is treated to make it
potable. The well is considered a public water source and is tested every
quarter for coliforms by a certified external laboratory.
B. Goal: There are no cross-connections between the potable water system and
any non-potable system.
Procedure:
1)
2)
C. Goal: The water used in the flume tank and washer/brusher is sanitized at a
level sufficient to prevent cross-contamination of apples.
Procedure:
The flume tank water is changed on a daily basis, and chlorine is added at an
initial level of 100 ppm. The chlorine level is monitored on an hourly basis
for active chlorine using an appropriate test kit. During active use, chlorine
levels are maintained at a detectable residual level.
44
Procedure:
All process lines, regardless of the intended purpose, will be cleaned and
sanitized at the end of the days operation. At the end of the production
day, XYZ Apple Juice Co. employees will remove any buildup of debris or
other materials from the facility. In addition employees will clean and
sanitize all equipment, utensils and the facility. A food-grade alkaline
detergent will be used for cleaning, followed by a 100 ppm chlorine rinse.
The concentration of the chlorine sanitizer will be checked by the quality
control representative before it is used. The results will be recorded on a
daily sanitation audit form.
Explanatory Note:
Processing will not resume until the
plant conditions are determined to be
satisfactory.
45
Before the production day begins, the facility, equipment and utensils will
be sanitized using a 100 ppm chlorine rinse. The concentration of the
chlorine sanitizer will be checked by the quality control representative
before it is used. The results will be recorded on a daily sanitation audit
form. The quality control representative will conduct a preoperational
sanitary inspection. A representative of the cleaning crew will be present
and, if necessary, immediately eliminate any discrepancy noted. The
observations will be recorded on a daily sanitation audit report.
C. Goal: Gloves and outer garments that contact food or food-contact surfaces
are made of an impermeable material and are kept clean and sanitary.
Procedure:
The company will issue line workers rubber aprons and work gloves. The
line supervisor will ensure that his or her employees are issued this gear.
Employees are not allowed to use personal gear in place of these items
unless authorized by the line supervisor and foreman. Employees are
required to maintain this gear in a sanitary and operable condition and,
if necessary, must replace it through the line supervisor. Supervisors
must require all employees to comply. In addition, the quality control
representative will check this gear at the beginning of each day's operations. Observations will be recorded on a daily sanitation audit form.
3. Prevent Cross-Contamination
A. Goal: Employees' hands, gloves and outer garments, utensils, food-contact
surfaces of equipment that come into contact with waste, the floor, or
other unsanitary objects do not touch food products without first being
adequately cleaned and sanitized.
Procedure:
46
1)
2)
3)
4)
5)
6)
Notes:
Procedure:
1)
2)
2)
B. Goal: Adequate, readily accessible toilet facilities that provide for proper
sewage disposal shall be available and maintained in a sanitary condition
and in good repair.
Procedure:
1)
Separate toilet facilities are provided for male and female employees
in the break area and adjacent to the processing area. Each restroom is
equipped with double doors opening inward and is well-ventilated.
An adequate number of toilets must be provided.
2)
47
3)
4)
5)
Explanatory Note:
Provision of MSDS sheets is a legal
requirement. The QA department will
make MSDS available and accessible
to all employees.
1)
All cleaning compounds and sanitizing agents used within the processing environment will be clearly identified and stored away from the
process area and any other lubricants or chemicals. The cleaning
supplies company will provide the quality assurance department with a
material safety data sheet (MSDS) for all compounds and agents stored
at the plant.
2)
3)
The Stun'em Pesticide Co. will not store any pesticides in the plant. The
company will provide a MSDS for any pesticides used for pest control.
4)
The maintenance department will store and properly label all nonfoodgrade lubricants within the maintenance area. No fuels will be stored
within the facility. All gas fuels (i.e., oxy gen and acetylene) shall be
stored in portable tanks outside the plant and will be brought inside only
when production is stopped. If it becomes necessary to use such fuels
during production, maintenance personnel will raise barriers to ensure
that the process is not contaminated. When finished, the area will be
thoroughly cleaned, sanitized and inspected before production starts
again.
5)
The quality control supervisor will inspect the processing area daily
during operation for possible contamination sources and to make sure
toxic compounds are labeled and stored properly. The results will be
documented on the daily sanitation audit form.
48
Notes:
The quality control supervisor will inspect the processing area daily during
operations for possible contamination sources and to make sure toxic compounds are labeled and stored properly. The results will be documented on
the daily sanitation audit form.
2)
8. Exclusion of Pests
A. Goal: No pests are in any area of a food plant.
Procedure:
The presence of rodents, insects, birds or other pests in the plant is unacceptable. The Stun'em Pesticide Co. has been contracted and is responsible for
all facets of pest control within the plant as well as the grounds. MSDSs for
all pesticides used by the company are on file. A representative of the
company will meet monthly with the quality control supervisor and discuss
facility pest control. In addition, the quality control supervisor will inspect
the facility for the presence of pests daily before operation. Observations
will be recorded on the daily sanitation audit form.
49
2)
Explanatory Note:
Although SSOP records are required,
the regulation does not require that
these records be periodically reviewed
by the processor. Although not
required, a periodic review,
is nevertheless, a highly recommended practice.
50
Firm Name:
Firm Address:
Pre-Op Start
Time Time
Notes:
Record (page 1 of 2)ge 1 of 2)
Hourly
Test
Post-Op
Time
Comments
and Corrections
Actual Time
1) Safety of Water
(See Monthly/and Periodic
SanitationControl Record)
Hourly active chlorine test
(ppm)
2) Food Contact Surfaces (See
Monthly Sanitation Control Record also)
Equipment cleaned and
sanitized
Line 1: (S/U)
Sanitizer Strength
Sanitizer
Type_____________
Strength ________ppm
Line 1: (ppm)
Gloves and outer garments
clean and sanitary
Line 1: (S/U)
3) Prevent Cross-Contamination
(See Monthly Sanitation Control
Records also) Utensils and
equipment food contact surfaces
Workers must wash and
sanitize hands and gloves
before handling product
(S/U)
Actual time
Check off
51
Pre-Op
Time:
Start
Time:
Hourly
Test
Post-Op
Time:
Comments
and Corrections
4) Maintain Handwashing,
and Toilet Facilities
Handwash stations checked by
QC representative
Line 1: (S/U)
Hand-sanitizing station
Sanitizer Type_____________
Strength ______________ppm
Toilets clean, properly functioning, and adequately supplied
(S/U)
5) Protection of food from Adulterants
and
6) Labeling, Storage, and Use of
Toxic Compounds
Product protected from contamination (S/U)
Actual time
Check off
Cleaning compounds,lubricants,
and pesticides labeled and
stored properly (S/U)
7) Employee Health Conditions
Employees do not show signs of
medical problems (S/U)
8) Exclusion of Pests
Pests excluded from processing
area (S/U)
S = Satisfactory / U = Unsatisfactory
Signature or initials _____________________________
52
Date_________________________
Firm Name:________________________________
Firm Address:______________________________
Sanitation Area
Decision
Comments/Corrections
1) Safety of Water
No cross-connections in hard
plumbing (S/U)
2) Prevent CrossContamination
8) Exclusion of Pests
Representative of pest control
company submits report and
meets with QC supervisor to
discuss (S/U).
QC and maintenance review
plant layout and structure to
exclude contamination (S/U).
S = Satisfactory / U = Unsatisfactory
Additional Comments:
Signature or initials:_________________________________________________________________
53
Firm Name:
Firm Address:
Condition
1.
Date:
Comments/Corrections
Safety of Water:
Name(s)
Invoices for food-grade chemicals checked before chemicals are stored (when received).
b. MSDS for all compounds and agents stored in
plant (when received).
6. Toxic Compounds:
a. Labels or documents for toxic compounds
checked before compounds stored (when
received).
7. Employee Health Conditions:
a. Employees trained to report illness (when
hired)
8. Exclusion of Pests:
Name(s)
Report by:
54
S = Satisfactory / U = Unsatisfactory
Notes:
Overhead 45
Objectives
In this module you will learn:
Explanatory Note:
HACCP traditionally deals only with
food safety hazards. Participants
may realize that some issues such as
sanitation, economic fraud and wholesomeness, are important and must be
properly handled by the processor.
However, unless these issues specifically address food safety or reduce
the likelihood of occurrence of a
hazard, they should not be part of a
companys HACCP plan.
The hazard analysis step is fundamental to the HACCP system. To establish a plan
that effectively prevents food safety hazards, it is crucial that all significant food
safety hazards and the measures to control them be identified.
Overhead 46
HACCP Principle #1
Conduct a hazard analysis
55
Overhead 47
Definition
Hazard Analysis: the process of
collecting and evaluating information
on hazards associated with the food
under consideration to decide what
hazards are significant and must be
addressed in the HACCP plan.
56
Notes:
Hazard Analysis
Hazard identification
Hazard evaluation
Explanatory Note:
First-time HACCP plan writers often
identify too many hazards! This is a
problem because the potential exists
to dilute a processors ability to focus
efforts and control the truly significant
hazards. The dilemma is deciding
what hazards are likely to cause illness or injury in absence of control.
Hazard Analysis
One approach to hazard analysis divides it into two activitieshazard identification
and hazard evaluation. Hazard identification should result in a list of potential
hazards at each operations step (use a flow diagram) in the process from the receipt
of raw materials to the release of the finished product. During hazard identification,
the team need not be confined by the hazards likelihood of occurrence or its
potential for causing disease.
All potentially significant hazards must be considered. To assist in this, the
following list of hazards will be valuable.
Overhead 49
Hazard Identification
Biological hazards:
Pathogenic microorganisms (e.g.,
bacteria, protozoa, viruses)
Explanatory Note:
The list of hazards in FDAs Juice
Products Hazards and Controls Guide
can be very useful, especially for
firms that do not have strong technical
expertise. These firms may also need
to seek outside technical assistance in
developin g their HACCP programs.
57
Overhead 50
Hazard Identification
(contd)
Chemical hazards:
Natural toxins
Chemicals
Allergens
Undeclared ingredients/cross-contaminants
Unlawful pesticide residues
Unapproved food and color additives
Physical hazards:
Metal, glass, etc
Overhead 51
Hazard Evaluation
1. Assess severity if not controlled.
2. Determine likelihood of occurrence.
3. Determine if hazard should be
addressed in HACCP plan.
After hazard identification, the team conducts a hazard evaluation. This is a threestep process in which the list of potential hazards developed during the hazard
identification is narrowed to those hazards that are significant to the product and
process in question. The steps in hazard evaluation are:
1.
2.
3.
HACCP focuses s olely on hazards that are likely to occur and likely to result in
illness or injury to consumers if not controlled. Without this focus, it would be
tempting to try to control too much and thus lose sight of the truly relevant hazards.
58
Notes:
Hazard Analysis
A hazard must be controlled if it is:
Likely to occur, and
Likely to result in illness or injury to
consumers
A hazard must be controlled if it is: (1) likely to occur, and (2) if not properly
controlled, is likely to result in illness or injury to consumers. In the case of hazards
for which regulatory action levels have been established for safety concerns (e.g.,
mycotoxins), the mere presence of the substance in the product does not constitute
a hazard. It is when the regulatory action level is exceeded that there may be an
unacceptable health risk to consumers. If violation of an action level in a particular
food is reasonably likely to occur, then the processors hazard analysis should identify that hazard as one to be controlled through its HACCP system.
Hazard Analysis Worksheet
Deliberations of the HACCP team during the hazard analysis must be documented.
A useful way for documenting decisions during the hazard analysis is to use a
hazard analysis worksheet.
There are several formats available for a hazard analysis worksheet. Essentially all
of them include processing/ingredient steps, identification of potential hazards,
evaluation of the significance of the hazard, a justification for the decision, and
proposed control measures.
A hazard analysis worksheet can be used to organize and document the considerations in identifying food safety hazards. In the pasteurized refrigerated apple juice
example the arrangement is as follows:
Column 1. List each ingredient or processing step obtained from process
flow diagrams.
Column 2. Record potential hazards.
Column 3. Record results of the hazard evaluation.
Column 4. Justify the decision.
Column 5. List potential control measures available for controlling hazards that are
likely to occur.
Hazard Identification and Evaluation, and Justification for Decisions
On the hazard analysis worksheet in the example for pasteurized refrigerated apple
juice, at the receiving step potential haza rds identified include biological hazards
such as vegetative pathogens and Cryptosporidium and chemical hazards including
patulin and pesticides. No physical hazards were identified. Based on the identified
Explanatory Note:
A hazard that is reasonably likely to
occur is one for which a prudent
processor would establish controls
because experience, illness data,
scientific reports, or other information
provide a basis to conclude that there
is a reasonable possibility that, in the
absence of these controls, the food
hazard will occur in the particular
type of product being processed.
Severity is the seriousness of a hazard.
Explanatory Note:
The juice HACCP regulation
requires a written hazard analysis to
determine whether there are food
hazards that are reasonably likely to
occur for each type of juice processed
by that processor and to identify
control measures that the processor
can apply to control these hazards.
Explanatory Note:
In some hazard analysis worksheets
there may be a final column to
indicate whether or not a particular
point or processing step may be
considered a CCP at this time.
There is much debate on whether or
not this pre-empts or short-cuts a thorough, comprehensive and complete
determination of CCPs using available
tools, such as the CCP decision tree.
An alternative to inclusion of such an
early call on CCP determination
on the hazard analysis worksheet is to
carry-over and continue a full and
systematic CCP determination at
those points or processing steps where
the hazard evaluation on the hazard
analysis worksheet s has determined
that the identified food safety hazards
may be significant. These steps
would then be assessed on a separate
CCP determination worksheet.
59
Vegetative and protozoan pathogens (e.g., E. coli O157:H7 and Cryptosporidium parvum) have been associated with illness outbreaks from apple juice and
were determined to be a significant hazard.
During the hazard evaluation it was determined that Cryptosporidium could
occur even though XYZ Apple Juice Co. only uses potable water and monitors
the water it uses under its SSOP program. This program reduces the likelihood
of occurrence of the hazard, but is not considered sufficient to eliminate the
possible hazard.
The XYZ Apple Juice Co. HACCP team determined that patulin was a significant hazard in the incoming apples and that patulin levels could increase further
during cold storage of the apples.
Pesticide residues may be found on incoming apples. However, government
monitoring data demonstrate that in the U.S., the occurrence of unapproved
pesticide residues in the food is likely to be infrequent and is unlikely to have a
severe public health impact. Therefore, any hazard associated with pesticide
residues was deemed to be not reasonably likely to occur.
Control Measures
Control measures are actions and activities that can be used to prevent or eliminate a
food safety hazard or reduce it to an acceptable level. In practice, control measures
encompass a wide array of activities. FDAs Juice HACCP Hazards and Controls
Guide lists appropriate control measures for several hazards.
Explanatory Note:
Control measures for each significant
hazard should be recorded in Column
5 of the hazard analysis worksheet .
Further discussion is available in the
Hazards and Controls Guide.
As XYZ Apple Juice Co. continued its hazard analysis, it noted that the supplier
agreement specifying the use of tree-picked and undamaged apples along with the
subsequent culling and washing steps, would not be adequate measures to control
incidence of Cryptosporidium contamination. It did not identify any control measures that are taken at the receiving step for bacterial pathogens or patulin on
product received directly. Since levels of patulin could increase during cold storage
of apples, a control measure for patulin only at receipt would not be totally adequate.
A more effective control measure would be after the cold storage step in the process.
XYZ Apple Juice Co. chose to control for patulin at the culling step.
Note: Published information relevant to control strategies for patulin is minimal at
this time. The most common approaches are likely to involve establishing CCPs at:
The receiving step (the control measure would be a supplier agreement specifying the use of tree-picked and undamaged apples), or
A culling step after the cold storage and brush/wash/scrub steps (the control
measure would be the culling of visually damaged apples), or
Both of the above steps.
Which of these approaches will be successful in a given situation may depend upon
factors such as the variety of apples used. For instance, some varieties may be
susceptible to patulin level increases during cold storage, while others may not. In
the former case, a culling step may be a necessary CCP, while in the later case, a
CCP only at the receiving step may suffice. If the culling step is the only CCP, the
processor should establish that culling will be effective even if dropped apples are
received, because there is no CCP requiring that only tree-picked apples be
accepted. In some cases, it may be necessary to employ both steps as CCPs.
60
Notes:
The XYZ Apple Juice Co. also noted a significant hazard, the presence of vegetative
and protozoan pathogens, could be controlled at the pasteurizing step by heating the
juice at an adequate pasteurization temperature and time to ensure the destruction of
pathogenic microorganisms.
Examples of Control Measures
The following examples are control measures that could be used in the food industry
to control the three types of hazards.
A. Biological Hazards
Bacteria
1. Time/temp erature control (e.g., proper control of refrigeration and storage time
minimizes the growth of pathogens).
2. Thermal treatment (e.g., pasteurization).
3. Cooling and freezing (e.g., cooling and freezing retard the growth of pathogenic
bacteria).
4. Fermentation and/or pH control (e.g., fermentation of apple cider by yeast produces ethanol which is inhibitory to pathogenic bacteria).
5. Addition of salt or other preservatives (e.g., salt and other preservatives inhibit
growth of some pathogenic bacteria).
6. Drying or concentration (reduction of water activity, aw ) may remove enough
water from the food to prevent pathogens from growing.
7. Source control (e.g., the presence or amount of pathogens in raw materials may
be controlled by obtaining them from non-contaminated sources).
Viruses
1. Thermal process (e.g., adequate heating will destroy viruses).
2. Personal hygiene (especially handwashing) limits the spread of viruses. This is
usually addressed in the SSOP program.
Parasites
1. Source control (e.g., preventing the parasite from having access to fruit by using
GAPs).
2. Inactivation/removal (e.g., some parasites, such as Cryptosporidium, are resistant to chemical disinfection but can be inactivated by heating, drying or freezing).
61
B. Chemical Hazards
1.
2.
3.
4.
5.
C. Physical Hazards
1.
2.
The steps, potential hazards, significance justification and potential control measures
should be recorded in columns 1, 2, 3, 4 and 5 respectively. The CCP determination
will be addressed in the next chapter.
The XYZ Apple Juice Co. will serve as our model juice processing firm. Following
the discussion of each HACCP principle, that principle will be applied to the XYZ
Apple Juice Co. Please become familiar with the process flow diagram and process
narrative associated with the model, found in Chapter 4.
62
Notes:
(2)
Identify
potential
hazards
introduced,
controlled or
enhanced at
this step
(3)
Are any
potential
food safety
hazards
significant?
(Yes/No)
(4)
Justify
your
decision
for
Column 3
(5)
What
measure(s)
can be
applied to
control the
significant
hazards?
63
64
Receiving
(packaging)
2. Yes
2. Patulin
B - Pasteurization step
(5)
What measure(s) can be
applied to control the significant
hazards?
* For illustrative purposes only. Models may not be fully consistent with FDAs Juice HACCP Hazards and Controls Guide
B - None
C - None
P - None
C1. No
(3)
(4)
Are any poten- Justify your decision
tial food safety for Column 3
hazards significant?
(Yes/No)
BB - History of outbreaks.
1. Yes
Notes:
Receiving
(raw apples)
(1)
(2)
Ingredient/
Identify potential
processing step hazards introduced,
controlled or enhanced at this step
P - None
C - Patulin
B - None
B - None
C - None
P - None
B - None
C - Patulin
P - None
B - None
C - None
P - None
Culling
Brush/Wash
C - Yes
C - Yes
(5)
What measure(s) can be
applied to control the significant
hazards?
(3)
(4)
Are any poten- Justify your decision
tial food safety for Column 3
hazards significant?
(Yes/No)
* For illustrative purposes only. Models may not be fully consistent with FDAs Juice HACCP Hazards and Controls Guide
B - None
C - None
P - None
Wash
(flume tank)
Cold Storage
Dry Storage
(packaging)
(1)
(2)
Ingredient/
Identify potential
processing step hazards introduced,
controlled or enhanced at this step
65
66
B - None
C - None
P - Metal pieces
B - None
C - None
P - None
B - None
C - None
P - Metal pieces
Grind
Press
Screen
P - Yes
P - Yes
(5)
What measure(s) can be applied to control the significant
hazards?
(3)
(4)
Are any poten- Justify your decision
tial food safety for Column 3
hazards significant?
(Yes/No)
* For illustrative purposes only. Models may not be fully consistent with FDAs Juice HACCP Hazards and Controls Guide
B - None
C - None
P - None
B - None
C - None
P - None
Partially Dried
Holding Tank
(2)
Identify potential
hazards introduced,
controlled or enhanced at this step
Notes:
(1)
Ingredient/ processing step
B
1. Vegetative
pathogens
(E. coli O157:H7)
Pasteurizer/
Cooler
B - None
C - None
P - None
B - None
C - None
P - None
B - None
C - None
P - None
Fill
Cap
Case/Code/
Palletize
(3)
(4)
Are any poten- Justify your decision
tial food safety for Column 3
hazards significant?
(Yes/No)
B - Yes
B - Microbial
contamination on
incoming apples.
B - Pasteurization
(5)
What measure(s) can be applied to control the significant
hazards?
* For illustrative purposes only. Models may not be fully consistent with FDAs Juice HACCP Hazards and Controls Guide
B - None
C - None
P - None
Holding Tank
2. Protozoan
pathogens
(Cryptosporidium
parvum)
C - None
P - None
(2)
Identify potential
hazards introduced,
controlled or enhanced at this step
(1)
Ingredient/ processing step
67
68
B - None
C - None
P - None
B - None
C - None
P - None
Cold Storage
Ship
(3)
(4)
Are any poten- Justify your decision
tial food safety for Column 3
hazards significant?
(Yes/No)
(5)
What measure(s) can be applied to control the significant
hazards?
* For illustrative purposes only. Models may not be fully consistent with FDAs Juice HACCP Hazards and Controls Guide
(2)
Identify potential
hazards introduced,
controlled or enhanced at this step
Notes:
(1)
Ingredient/ processing step
Notes:
Overhead 54
Objectives
In this module you will learn:
The definition of a critical control point (CCP)
The relationship between a hazard reasonably
likely to cause illness or injury in absence of
control and a CCP
A CCP may change with product formulations and
processing lines
The use of a decision tree to determine a CCP
Examples of CCPs
For every significant hazard identified during the hazard analysis (Principle 1), there
must be one or more CCPs where the hazard is controlled. The CCPs are the points
in the process where the HACCP control activities will occur.
Overhead 55
HACCP Principle #2
Determine critical control points (CCPs)
69
Overhead 56
Definition
Critical control point: a point, step,
or procedure in a food process at which
a control measure can be applied and at
which control is essential to reduce an
identified food hazard to an acceptable
level.
A CCP should be a specific point in the process flow where application of a control
measure effectively prevents, eliminates or reduces the hazard to an acceptable
level.
Overhead 57
Hazard Prevention
Points may be identified as CCPs
when hazards can be prevented:
For some products and processes
the following may be true:
Introduction of hazard can be
prevented by control at receiving step
(e.g., supplier declaration)
A chemical hazard can be prevented by
control at ingredient addition or
blending step
70
Notes:
Overhead 59
Hazard Elimination
Points may be identified as CCPs when
hazards can be eliminated:
For some products and processes the
following may be true:
Pathogens and parasites can be killed
during heat treatment or UV light
treatment
Metal fragments can be detected by a
metal detector and eliminated by
removing the contaminated product
Overhead 60
Hazard Reduction
Points may be identified as CCPs
when hazards are reduced to
acceptable levels:
For some products and processes the
following may be true:
Occurrence of foreign objects can be
minimized by manual sorting and
automatic collectors
Some chemical hazards such as patulin
can be reduced by processes such as
culling, brushing and washing
71
It may not be possible to fully eliminate or prevent a hazard. In some processes and
with some hazards, minimization may be the only reasonable goal of the HACCP
plan. For example, patulin in apple juice is not destroyed at pasteurization tempera tures and other processing steps may not completely eliminate patulin from apple
juice. Processing steps such as receiving only tree-picked apples, culling, brushing
and washing can reduce patulin to acceptable levels that will not pose a hazard to
consumers.
Although hazard minimization is acceptable in some instances , it is important that
all food safety hazards be addressed and that any limitations of the HACCP plan to
control those hazards be understood.
Many points in the flow diagram not identified as CCPs may address control of
quality factors such as color or flavor or non-HACCP regulatory requirements such
as standards of fill. A HACCP plan may lose focus if these points are unnecessarily
identified as CCPs.
Only points at which food safety hazards can be controlled are considered to be
CCPs. A tendency exists to control too much and to designate too many CCPs. A
CCP should be limited to that point or those points at which control of the hazards
can best be achieved. For example, a metal hazard can be controlled by ingredient
sourcing, magnets, screens and a metal detector, all in one line. However, sourcing,
magnets and screens would not be considered CCPs if the metal hazard is best controlled by use of metal detection and product rejection.
Overhead 61
72
Notes:
Plant layout,
Formulation,
Process flow,
Equipment,
Ingredient selection, and
Sanitation and support programs.
In some cases, products can be grouped into a single HACCP plan as long as the
products have similar hazards and CCPs (critical limits can differ). An example of
this is a facility that produces pasteurized orange juice and grape juice from concentrate. Processors can have one plan to cover these different juices even though the
process time/temperature parameters (critical limits) may differ for these juices.
Although HACCP models and generic HACCP plans can be useful in considering
CCPs, the HA CCP requirements of each formulation and processing line must be
considered separately.
CCP Decision Tree
Principle 1 addresses where hazards enter a process, may be enhanced during the
processor both. Often the best place to control a hazard is at the point of entry. But
this is not always the case. The CCP can be several process steps away from the
point where the significant hazard is introduced. A series of questions can help to
identify CCPs for a process (Figure 6.1). The questions are referred to as a CCP
Decision Tree and are asked at each process step identified in Principle 1 with a
significant hazard. Properly used, a CCP decision tree can be a helpful tool in
identifying CCPs, but it is not a perfect tool. Although application of a CCP
decision tree can be useful in determining if a particular step is a CCP for a previously identified hazard, it is merely a tool and not a mandatory element of HACCP.
The CCP decision tree is not a substitute for expert knowledge, since complete
reliance on the decision tree can lead to false conclusions.
73
Explanatory Note:
In the XYZ Apple Juice Co. hazard
analysis, it was previously noted that
microbial hazards can be controlled at
a step subsequent to receiving even
though the hazard was identified at
the receiving step. Thus the answer to
Question 1 on the decision tree is yes.
Explanatory Note:
In the XYZ Apple Juice Co. refrigerated pasteurized apple juice example,
vegetative and protozoan pathogens
were identified as a significant hazard
at the receivin g-fresh apples step. In
some instances, supplier guarantees or
raw material handling can minimize
pathogen levels at a receivin g step.
However, such measures are not
likely to reduce the hazard of pathogens, such as E. coli O157:H7, to
acceptable levels in the finished
product. Therefore, the receiving step
should not be used in this plant to
prevent, eliminate or reduce the hazard to an acceptable level. The answer to Question 2 is no.
Explanatory Note:
In the refrigerated pasteurized apple
juice example, vegetative and protozoan pathogens can be introduced at
the receiving-fresh apples step in
excess of acceptable levels. The answer to Question 3 is yes.
Explanatory Note:
In the refrigerated pasteurized apple
juice example, the pasteurization step
will reduce pathogens to an acceptable
level and will be the best point to
control the hazard. At the receiving
step, the answer to Question 4 is yes,
meaning t hat there is a subsequent
step that will eliminate the hazard or
reduce its likely occurrence to an
acceptable level. Hence, this step is
not considered a CCP for vegetative
and protozoan pathogens.
74
The CCP decision tree in figure 6.1 is but one example of numerous other decision
trees that have been developed to assist in the appropriate determination of CCPs.
Question 1. Does a control measure(s) exist at this step or subsequent steps in the
process flow for the identified hazard?
If the answer is yes, ask Question 2.
If you cannot identify a control measure in the process for the hazard,
answer no. If the answer is no, then ask: Is control at this step necessary
for safety? If the answer is again no, the step is not a CCP for that hazard.
Move to the next hazard at that step or to the next step with a food safety
hazard. If the answer is yes, then a significant hazard is not being controlled. In this case, the step, process or product must be redesigned to
include a control measure.
Question 2. Does this step eliminate or reduce the likely occurrence of a hazard to
an acceptable level?
To answer this question, consider if this is the best step at which to control
the hazard. If the answer is yes, then the step is a CCP; move to the next
food safety hazard.
If the answer is no, ask Question 3.
Question 3. Could contamination with identified hazards occur in excess of
acceptable levels or could these increase to unacceptable levels?
The question refers to contamination that exists, occurs or increases at this
step. If the answer is no, then the step is not a CCP for that hazard. Move
to the next hazard at that step or the next step with a food safety hazard.
If the answer is yes, then ask question 4.
Question 4. Will a subsequent step eliminate identified hazards or reduce the likely
occurrence to an acceptable level?
If the answer is no, then this step is a CCP. If the answer is yes, then this
step is not a CCP for this hazard. In this case, be sure the hazard is controlled by a subsequent processing step.
In Chapter 5, three significant hazards were identified for the refrigerated pasteurized apple juice namely, vegetative and protozoan pathogens, specifically E. coli
O157:H7 and Cryptosporidium parvum, patulin, and metal pieces. Table 6.1 is an
illustration of how the CCP decision tree is applied to consider these hazards.
Notes:
75
Overhead 63
Hazard
Q1
Q2
Q3
Q4
CCP?
Receiving
B. Vegetative and
protozoan pathogens
C. Patulin presence
Cull
C. Patulin reduction
CCP#1
Grind
P. Metal contamination
Screen
P. Metal removal
CCP#2
Pasteurizer
B. Pathogen
destruction
CCP#3
Overhead 64
(2)
Identify
potential
hazards
introduced,
controlled
or
enhanced
at this step
(3)
Are any
potential
food-safety
hazards
significant?
(Yes/No)
(4)
Justify
your
decision
for
Column 3
(5)
What
measure(s)
can be
applied to
control the
significant
hazards?
(6)
Is this step
a Critical
Control
Point?
(Yes/No)
76
B - None
C - None
P - None
2. Yes
2. Causes illness or
injury. Patulin is
reasonably likely to
exceed regulatory
action levels if not
controlled.
2. Culling
2. No
C1. No
B - No
B - History of outbreaks.
B - Pasteurization step.
(6)
Is this step a
Critical Control Point?
(Yes/No)
(4)
(5)
Justify your decision What measure(s) can be
for Column 3
applied to control the significant hazards?
* For illustrative purposes only. Models may not be fully consistent with FDAs Juice HACCP Hazards and Controls Guide
Receiving
(packaging)
2. Patulin
(1)
(2)
(3)
Ingredient/
Identify potential Are any poprocessing step hazards intr otential food
duced, controlled safety hazor enhanced at thisards signifistep
cant?
(Yes/No)
Receiving
Biological (B) B(raw apples)
1. Vegetative
1. Yes
pathogens
2. Yes
2. protozoan
pathogens
CChemical (C) 1. No
1. Pesticides
77
78
C - Patulin
B - None
P - None
B - None
C - None
P - None
B - None
C - Patulin
B - None
C - None
P - None
C - Yes
C - Yes
(5)
What measure(s) can be
applied to control the significant hazards?
(3)
(4)
Are any
Justify your decipotential food sion for Column 3
safety hazards
significant?
(Yes/No)
C - Yes
C - No
(6)
Is this step a
Critical Control Point?
(Yes/No)
* For illustrative purposes only. Models may not be fully consistent with FDAs Juice HACCP Hazards and Controls Guide
Brush/Wash
Culling
Wash
(flume tank)
P - None
Remove Debris
B - None
(slotted hopper) C - None
P - None
Cold Storage
(2)
Identify potential
Ingredient/ proc- hazards intr oessing step
duced, controlled
or
enhanced at this
step
Dry Storage
B - None
(packaging)
C - None
P - None
(1)
Notes :
B - None
C - None
P - None
B - None
C - None
P - Metal pieces
B - None
C - None
P - None
Press
Screen
Holding Tank
P - Yes
P - Yes
P - Metal introduced
from grinder blades.
P - No
(6)
Is this step a
Critical Control Point?
(Yes/No)
(3)
(4)
(5)
Are any poten- Justify your decision What measure(s) can be aptial food
for Column 3
plied to control the signifisafety hazards
cant hazards?
significant?
(Yes/No)
* For illustrative purposes only. Models may not be fully consistent with FDAs Juice HACCP Hazards and Controls Guide
B - None
C - None
P - Metal pieces
Grind
(1)
(2)
Ingredient/
Identify potential
processing step hazards intr oduced, controlled
or enhanced at
this step
Partially Dried B - None
C - None
P - None
79
80
B - None
C - None
P - None
B - None
C - None
P - None
Cap
Case/Code/
Palletize
(5)
What measure(s) can be
applied to control the significant hazards?
(4)
Justify your decision for Column 3
* For illustrative purposes only. Models may not be fully consistent with FDAs Juice HACCP Hazards and Controls Guide
B - None
C - None
P - None
C - None
P - None
B - None
C - None
P - None
2. Protozoan
pathogens
Cryptosporidium
parvum
B
1. Vegetative
E. coli O157:H7
Fill
Holding Tank
Pasteurizer/
Cooler
(3)
Are any potential food
safety hazards
significant?
(Yes/No)
B - Yes
B - Yes
(6)
Is this step a
Critical Control Point?
(Yes/No)
Notes :
(1)
(2)
Ingredient/ proc- Identify potential
essing step
hazards intr oduced, controlled
or enhanced at
this step
B - None
C - None
P - None
Ship
(3)
Are any potential food
safety hazards significant?
(Yes/No)
(4)
Justify your decision for Column 3
(5)
What measure(s) can be
applied to control the significant hazards?
(6)
Is this step a
Critical Control Point?
(Yes/No)
* For illustrative purposes only. Models may not be fully consistent with FDAs Juice HACCP Hazards and Controls Guide
B - None
C - None
P - None
Cold Storage
(1)
(2)
Ingredient/ proc- Identify potential
essing step
hazards intr oduced, controlled
or enhanced at
this step
81
82
Notes :
Overhead 65
Objectives
In this module you will learn:
How to identify critical limits
How to set critical limits for the CCP
How to find sources of critical limit
information
How to determine the relationship between
critical limits and operating limits
Critical limits must be established for each CCP identified in the hazard analysis.
Overhead 66
HACCP Principle #3
Establish critical limits
83
Overhead 67
Definition
Critical limit: a maximum and/or
minimum value to which a biological,
chemical or physical parameter must be
controlled at a CCP to prevent,
eliminate, or reduce to an acceptable
level the occurrence of the identified
food hazard
A critical limit represents the boundaries that are used to ensure that an operation
produces safe products. Each CCP must have one or more critical limits for each
identified hazard. When the process deviates from the critical limit, a corrective
action must be taken to ensure food safety. Examples of critical limits are listed in
Table 7.1.
Table 7.1. Examples of Critical Limits
Explanatory Note:
These critical limits are for illustrative
purposes only. They do not relate to
any specific product but demonstrate
how critical limits could apply at
CCPs utilizing different control
parameters for bacterial pathogens. In
actual practice, critical limits must be
scientifically based.
84
Hazard
CCP
Critical Limit
Bacterial pathogens
(biological)
HTST pasteurization
Bacterial pathogens
(biological)
oven drying
Bacterial pathogens
(biological)
acidification
Notes :
Examples
Scientific publications
Regulatory guidelines
Experts
Experimental studies
If the information needed to define the critical limit is limited, a conservative value
should be selected. The rationale and reference material used to establish a critical
limit should become part of the support documentation for the HACCP plan.
Often a variety of options exist for controlling a particular hazard. The selection of
the best control option and the best critical limit is often driven by practicality and
experience. The following examples (overheads 68 and 69) suggest control options
and critical limits that could be applied at the pasteurization step to control vegetative and protozoan pathogens in pasteurized apple juice.
Overhead 68
85
Setting a microbial limit as a critical limit for an in-process CCP is rarely practical.
Microbiological limits are difficult to monitor, and testing to determine critical limit
deviations may require several days. Therefore, microbial limits cannot be monitored on a timely basis. Microbial contamination is often sporadic, and samples may
need to be large to be meaningful. In this example, sampling and microbiological
tests of the pasteurized juice are unlikely to be sensitive enough or practical.
Overhead 69
86
Notes :
Definition
Operating limit: a criterion that is
more stringent than a critical limit and
that is used by an operator to reduce
the risk of deviation
Definition
Process adjustment: an action taken
by an operator to bring the process
back within operating limits
87
The process should be adjusted when the operating limit is reached to avoid violating critical limits. These actions are called process adjustments. A processor may
use these adjustments to avoid loss of control and the need to take corrective action.
Spotting a trend toward loss of control early and acting on it can save product
rework, or worse yet, product destruction. Corrective action is only required when
the critical limit is not met.
Operating limits may be selected for various reasons:
88
Notes :
170
168
Temperature
166
164
162
160
158
Critical Limit
156
154
7:12 AM
9:36 AM
12:00 PM
2:24 PM
4:48 PM
7:12 PM
Time
Date: 9/6/01
Operator: Donald Aardvark HACCP Coordinator: Dewey Care
89
Overhead 72
2.
Hazards
3.
Critical
limits
Monitoring
4.
What
5.
How
6.
Frequency
8.
Corrective
actions
9.
Verification
10.
Recordkeeping
7.
Who
90
Critical Control
Point (CCP)
Hazard(s)
Critical Limits
CCP 1 Culling
Patulin
No more than 1% by
weight visually damaged fruit after culling
CCP 2 Screen
Metal inclusion
Screen is intact
CCP 3 Pasteurizer
Notes :
2.
Hazards
3.
Critical limits
91
92
Metal
inclusion
CCP 2
Screen
Screen is
intact
No more
than 1%
by weight
rot after
culling
Critical
Limits
What
How
Frequency
Monitoring
Who
Corrective Verification
Action
*For illustrative purposes only. Models may not be fully consistent with FDAs Juice HACCP Hazards and Controls Guide.
CCP 3
E. coli
>160F
Pasteurizer O157:H7
and >6 s
and Cryptosporidium
parvum
Patulin
CCP 1
Culling
Hazard(s)
Notes :
Critical
Control
Point
(CCP)
Notes:
Overhead 74
Objectives
In this module you will learn:
HACCP Principle #4
Monitor each CCP
93
Overhead 76
Definition
Monitor: to conduct a planned
sequence of observations or
measurements to assess whether a
process, point, or procedure is under
control and to produce an accurate
record for future use in verification
Overhead 77
Monitoring
The purpose of monitoring is to:
Track the operation of the process and
enable the identification of trends toward a
critical limit that may trigger process
adjustments
Identify when there is a loss of control (a
deviation at a CCP)
Provide written documentation of the
process control system
Purpose of Monitoring
Monitoring is the process that the operator relies upon to maintain control at a CCP.
Accurate monitoring indicates when there is a loss of control at a CCP and a deviation from a critical limit. When a critical limit is compromised, a corrective action is
required. The extent of the problem needing correction can be determined by re viewing the monitoring records and finding the last recorded value that meets the
critical limit.
Monitoring also provides a record that products were produced in compliance with
the HACCP plan. This information is useful in the verification of the HACCP plan
as discussed in Principle 6.
94
Notes:
Overhead 78
2.
3.
Hazards Critical limits
Monitoring
4.
What
5.
How
6.
Frequency
7.
Who
Overhead 79
Monitoring
What: usually a measurement or
observation to assess if the CCP is
operating within the critical limit
How: usually physical or chemical
measurements (for quantitative critical
limits) or observations (for qualitative
critical limits)
Needs to be real -time and accurate
95
Overhead 80
Monitoring
(contd)
Frequency: continuous or periodic (noncontinuous)
Who: responsible individual trained to
perform the specific monitoring activity
or evaluate monitoring records
Overhead 81
Time
Temperature
pH
Flow rate
Screen
96
Notes:
Timer
Thermometer
pH meter
Scales
Water activity meter
Chemical analytical
equipment
97
Acidity (pH). Pathogen growth can be controlled by limiting the pH of the product to a level that does not allow growth. For instance, the growth of Clostridium botulinum, which leads to botulism, is controlled in acidified products by
adding acid to lower the pH to 4.6 or below. In this case, the pH of an acidifying agent may be monitored before it is added to a batch.
The selection of the monitoring equipment is a major consideration during development of a HACCP plan. Equipment used for monitoring CCPs varies with the attribute being monitored. Examples of monitoring equipment include:
Timers,
Thermometers,
pH meters,
Scales,
Water activity meters and
Chemical analytical equipment.
The equipment chosen for monitoring at the CCP must be accurate to ensure control
of the hazard. The variability of the monitoring equipment should be considered
when setting the operating limit. For example, if a minimu m internal temperature of
145F is necessary to kill pathogens in a product and the thermometer has an accuracy of 2F, then the operating limit should be set no lower than 147F. Periodic
calibration or standardization is necessary to ensure accuracy. This is further
discussed in Chapter 11.
How monitoring will be performed is recorded in column 5 of the HACCP plan
form.
Overhead 83
Monitoring Frequency
Continuous
Periodic (non-continuous)
Note: The length of the period will
affect the amount of product affected
by a critical limit deviation
Explanatory Note:
The length of time between monitoring checks will directly affect the
amount of rework or product loss
when a critical limit deviation is
found.
Monitoring Frequency
Monitoring can be continuous or periodic. Where possible, continuous monitoring
should be used. Continuous monitoring is possible for many types of physical and
chemical parameters. Examples of continuous monitoring include:
98
Notes:
How mu ch does the process normally vary (i.e., how consistent are the
data)? If the data vary considerably, the time between monitoring checks
should be short.
How close are the normal values to the critical limit? If the normal values
are close to the critical limit, the time between monitoring checks should be
short.
How much product is the processor prepared to risk if the critical limit is
exceeded?
Overhead 84
99
Line personnel,
Equipment operators,
Supervisors,
Maintenance personnel, or
Quality assurance personnel.
The monitor's duties should require that all unusual occurrences and deviations from
critical limits be reported immediately to ensure adjustments and corrective actions
are made in a timely manner. All records and documents associated with CCP
monitoring must be signed or initialed by the person doing the monitoring.
The monitoring procedures for each of the critical limits identified in Principle 3 for
the refrigerated pasteurized juice are contained in the attached HACCP plan.
The individual who performs the monitoring will be recorded in column 7 of the
HACCP plan form.
Overhead 85
Definition
Deviation: Failure to meet a
critical limit
100
Metal
inclusion
CCP 2
Screen
Screen is
intact
No more
than 1%
by weight
rot after
culling
Critical
Limits
101
Production employee
Visual daily
check of
MIG thermometer
Pasteurizer operator
Continuous Pasteurrecording
izer
with hourly operator
visual check
of record.
Visual
check of
Daily at bepositive
ginning of
displace- production
ment
pump at
set speed
Temp.
recorder
Pre-op
and
post-op
Daily
QC staff
Who
Corrective
Action
Verification
*For illustrative purposes only. Models may not be fully consistent with FDAs Juice HACCP Hazards and Control Guide.
2. Set
pump
speed to
5 to
deliver
>6s
Frequency
Cut rot
Twice per
and weigh production
rot
run
How
Integrity Visual
of screen
Rot in
5000 g
sample
What
Monitoring
CCP 3
E. coli
>160F for 1. Temp.
Pasteurizer O157:H7
>6s
of juice
and Cryptosporidium
parvum
Patulin
Hazard(s)
CCP 1
Culling
Critical
Control
Point
(CCP)
Record
keeping
102
Notes:
Overhead 86
Objectives
In this module you will learn:
Explanatory Note:
Corrective actions are implemented
when monitoring results indicate a
deviation from critical limits. Effective corrective actions depend heavily
on an adequate monitoring program.
Overhead 87
HACCP Principle #5
Establish corrective actions
Corrective actions must be taken when critical limits at a CCP have been violated.
Although not an absolute requirement, corrective actions should be predetermined as
the HACCP plan is developed.
103
Overhead 88
Definition
Corrective action: procedures to be
followed when a deviation occurs
When critical limits are violated at a CCP, the predetermined, documented corrective actions should be instituted. These corrective actions should state procedures to
restore process control and determine the safe disposition of the affected product. It
may be possible, and is always desirable, to correct the problem on the spot.
Corrective action options include:
The primary objective is to establish a HACCP program that permits rapid identification of deviations from a critical limit. The sooner the deviation is identified, the
more rapidly corrective actions can be taken and the greater the potential for minimizing the amount of noncompliant product. An individual who has a thorough understanding of the process, product and HACCP plan and who has the authority to
make decisions needs to be assigned the responsibility of making corrective actions.
Effective corrective action plans must:
Correct and eliminate the cause of the noncompliance to assure that the
CCP is brought back under control,
Segregate, assess and determine the disposition of the noncompliant product, and
Prevent deviated product that is injurious to health from entering commerce.
All corrective actions taken must be documented. Documentation will assist the firm
in identifying recurring problems so that the HACCP plan can be modified. Additionally, corrective action records provide proof of product disposition.
104
Notes:
Overhead 89
Explanatory Note:
If a product is to be tested and released, the sampling method is highly
important. The use of a faulty sampling protocol can result in accepting,
rather than rejecting, an undesirable
product. The limits of sampling plans
must be understood. It may be prudent
to consult an expert.
Corrective actions must bring the CCP back under control. A corrective action
should take care of the immediate (short-term) problem as well as provide long-term
solutions. The objective is to re-establish control so that the process can be restarted
as soon as possible without further process deviation.
It may be necessary to determine the root cause of the deviation to prevent future
recurrence. A critical limit failure that was not anticipated or one that reoccurs
should result in an adjustment to the product or process or a re-evaluation of the
HACCP plan.
One outcome of the re -evaluation may be a decision to modify the HACCP plan. A
permanent solution to eliminating or minimizing the initial cause or causes for the
process deviation should be implemented if necessary. Specific instructions for corrective actions must be available to plant workers and should be part of the documented HACCP plan.
Explanatory Note:
It is important to ensure that any
reworking does not result in the
creation of a new hazard. Of primary
concern are toxic materials, including
heat-stable biological toxins. It must
be realized that reworked product is
still subject to regulatory scrutiny and
that reworking must result in a safe
product.
Identify the Product that was Produced During the Process Deviation and Determine the Disposition
When a deviation occurs, identify nonconforming product. There are four steps that
may be used for determining product disposition and developing a corrective action
plan as follows:
105
In Summary:
1. Determine if the product presents a safety
hazard, based on:
a. Expert evaluation
b. Biological, chemical, or physical testing
106
IF deviation:
Notes:
Explanatory Note:
During the process, it is possible to
extend the cook time until the desired
internal temperature is reached for the
required time. However, this would be
a "process adjustment" rather than a
corrective action.
IF deviation:
Reject apples
AND
Discontinue use of supplier until agreement is in place and fulfilled.
HACCP plan records should contain a separate file in which all deviations and corresponding corrective actions are maintained in an organized fashion. Corrective
actions are recorded in column 8 of the HACCP plan form. The following are the
corrective actions for the XYZ Apple Juice Co.
107
Overhead 91
2.
Hazards
3.
Critical
limits
Monitoring
4.
What
5.
How
6.
Frequency
8.
Corrective
actions
7.
Who
108
109
Metal
inclusion
CCP 2
Screen
What
Screen is
intact
Frequency
Pre-op
and
post-op
Daily
Cut rot
Twice per
and
production
weigh rot run
How
Monitoring
Integrity Visual
of screen
No more Rot in
than 1% 5000 g
by weight sample
rot after
culling
Critical
Limits
Corrective
Action
Replace screen
Segregate and
hold product for
evaluation or
destroy or divert
to nonfood use
and/or
Move people
and/or
Slow the line
and/or
Retrain production employees
(cullers) on
inspection
procedures
Produc- Segregate prodtion
uct and rework
employee to eliminate
metal pieces, or
run product
through metal
detector, or divert to nonfood
use, or destroy
QC staff
Who
*For illustrative purposes only. Models may not be fully consistent with FDAs Juice HACCP Hazards and Control Guide.
Patulin
Hazard(s)
CCP 1
Culling
Critical
Control
Point
(CCP)
Record
keeping
110
CCP 3
E. coli
Pasteurizer O157:H7
and Cryptosporidiu
m parvum
Hazard(s)
>160F
for
>6s
Critical
Limits
2. Set
pump
speed to
5 to
deliver
>6s
Visual
check of
positive
displace- Daily at bement
ginning of
pump at production
set speed
and/or
Adjust pump to
deliver > 6 s
and/or
Who
Frequency
Segregate and
hold product for
repasteurizatin or
divert to nonfood
use
How
Corrective
Action
1. Temp. Temp.
Continuous Pasteurof juice
recorder recording
izer
with hourly operator
visual
check of
record.
What
Monitoring
Verification
Record
keeping
Notes:
Critical
Control
Point
(CCP)
Notes:
Overhead 92
Objectives
In this module you will learn:
How to define verification
What functions are part of the HACCP
system verification
What functions are part of HACCP plan
validation
Explanatory Note:
Routine monitoring activities for crit ical limits should not be confused with
verification methods, procedures or
activities. This could be a point of
confusion, and t he instructor should
keep this in mind while addressing
this chapter.
Overhead 93
HACCP Principle #6
Establish verification procedures
111
Overhead 94
Definition
Verification: those activities, other
than monitoring, that establish the
validity of the HACCP plan and that the
system is operating according to the
plan.
Verification
One of the more complex HACCP principles is verification. Although it is complex,
the proper development and implementation of the verification principle is fundamental to the successful execution of the HACCP plan. HACCP has spawned the
use of a new adage "trust what you verify," which speaks to the heart of the verification principle.
Overhead 95
112
Notes:
Elements of Verification
CCP verification activities:
Calibration of monitoring devices
Review of calibration records
Targeted sampling and testing
CCP record review
Monitoring records
Corrective action records
Overhead 97
Elements of Verification
(contd)
HACCP system verification:
Observations and reviews
Microbiological end-product testing
Regulatory inspections/audits
Overhead 98
Definition
Validation : the element of verification
focused on collecting and evaluating
scientific and technical information to
determine if the HACCP plan, when
properly implemented, will effectively
control the identified food hazards.
113
Validation
Validation is an essential component of verification and requires substantiation that
the HACCP plan, if implemented effectively, is sufficient to control the food safety
hazards that are likely to occur. Initial validation occurs before imple mentation of
the plan. Revalidation occurs when there are significant changes to the plan. The
purpose of validation is to provide objective evidence that all essential elements of
the plan have a scientific basis and represent a proven approach to controlling the
food safety hazards associated with the specific product and process. There are several approaches to validating the HACCP plan, among them are: incorporation of
fundamental scientific principles; use of scientific data; reliance on expert opinion;
or conducting in-plant observations or tests.
Overhead 99
114
Notes:
Validation Frequency
Initially
When factors warrant, e.g.,:
Changes in raw material
Changes in product
Changes in processing methods
Adverse review findings
Recurring deviations
New information on hazards or control
measures
On-line observations
New distribution or consumer handling
Annually
Examples of Validation Activities:
1. In our example, pasteurization at >160F and > 6 seconds has been recommended as a minimum criterion to achieve a 5-log reduction of vegetative and
protozoan pathogens in juice. Proper process validation activities (i.e. commissioning equipment) must occur to ensure this recommended process is delivered.
2. When a processor uses a handheld computer and software system to record the
monitoring activities, the system should be validated according to 21 CFR 11
to meet the processors and the computer manufacturers requirements.
3. It has been shown that a screen with a pore size of 2.0 mmeliminates foreign
objects and restricts the particle size going into the pasteurizer.
Overhead 101
115
Verification of CCPs
Verification activities developed for CCPs are essential to ensure that the control
procedures used are properly functioning and that they are operating and calibrated
within appropriate ranges for food safety control. Additionally, CCP verification
includes supervisory review of CCP calibration, monitoring and corrective action
records to confirm compliance with the HACCP plan. CCP verification may also
include targeted sampling and testing.
Calibration
Verification activities at CCPs include calibration of monitoring devices to assure
the accuracy of the measurements taken. Calibration is conducted to verify that
monitoring results are accurate.
Calibration of CCP monitoring equipment is fundamental to the successful implementation and operation of the HACCP plan. If the equipment is out of calibration,
then monitoring results will be unreliable. If this happens, the process monitoring
data should be evaluated to see if there are any possible deviations since the last
documented acceptable calibration. This situation should be given ample consideration when establishing the frequency of calibration. Frequency of calibration should
also be influenced by equipment sensitivity.
Overhead 102
2.
3.
A mercury-in-glass (MIG) thermometer or alternate temperature measuring device used to monitor temperature at a pasteurization CCP may be checked for
accuracy by comparing it against a certified thermometer.
The continuous temperature chart recorder on a pasteurizer may be compared
during each production run against a calibrated thermometer.
A pH meter is calibrated against pH buffer standards of 7.0 and 4.0 when it is
used to test products with a final pH of 4.2.
Notes:
A review of the MIG thermometer records indicates that the thermometer was
checked for accuracy against a certified thermometer at a frequency specified in
the HACCP plan. The records also indicate that the thermometer performed
within established limits and did not need adjustment. This review disclosed no
problems in the MIG calibrations.
Targeted Sampling and Testing
Verification may also include targeted sampling and testing. Vendor compliance
may be checked by targeted sampling when receipt of material is a CCP and
purchase specifications are relied on as critical limits. Typically, when a monitoring
procedure is not as stringent as desired, it should be coupled with a strong
verification strategy.
Examples of targeted sampling and testing:
1.
2.
Periodic samples could be collected to verify that the culling step is achieving
patulin control in apple juice.
Fresh citrus juice processors that rely on surface treatments to achieve a 5-log
reduction must analyze the finished juice for biotype I E. coli for each 1,000
gallons of juice produced per day or once every 5 working days.
117
Explanatory Note:
The frequency of verification activities will likely change over time. A
history of review findings that indicate that the processes are consistently
in control may justify safely reducing
the frequency. On the other hand,
adverse findings, such as inconsistent
monitoring activities, inconsistent
record keeping and improper corrective actions, warrant correcting the
problems and more frequent verification reviews. Adverse findings may
indicate a need for subsequent validation of the HACCP plan. FDA's juice
HACCP regulation requires validation
of the hazard analysis and the HACCP
plan on an annual basis. This is a
process that includes a technical review of the hazard analysis and each
element of the HACCP plan as well as
on-site review of all flow diagrams
and appropriate records from the
operation of the plan. The purpose of
the validation is to ensure that the
hazard analysis and the HACCP plan
accurately identify and control
relevant hazards.
Overhead 103
Verification Activities of
the HACCP System
Accuracy of the product description and flow
chart
CCPs are monitored as required by the
HACCP plan
Processes are operating within established
critical limits
Records are completed accurately, at the time
intervals required and reviewed appropriately
Processor review of consumer complaints
118
Notes:
Record Review:
Monitoring activities have been performed at
the locations specified in the HACCP plan.
Monitoring activities have been performed at
the frequencies specified in the HACCP plan.
Corrective actions have been performed
whenever monitoring indicated deviation from
critical limits.
Equipment has been calibrated at the
frequencies specified in the HACCP plan.
119
Frequency
Subsequent validation of HACCP plan When critical limits change, significant changes in process occur,
equipment failure, system failure, or
when other factors warrant
Verification of CCP monitoring as described in the plan (e.g., monitoring
of juice pasteurization time and temperature)
Annually
120
Notes:
Verification Procedures by a
Regulatory Agency
These may include
Review of the hazard analysis, the HACCP
plan and any modification
Review of CCP monitoring records
Review of corrective action records
Review of the verification records
Visual inspection of operations to
determine if the HACCP plan is followed
and records are properly maintained
Random sample collection and analysis
Overhead 107
2.
3.
Monitoring
Hazards Critical
limits
4.
What
5.
How
8.
9.
Corrective Verification
actions
6.
7.
Frequency Who
121
122
Metal
inclusion
CCP 2
Screen
What
Screen is
intact
Frequency
Pre-op
and
post-op
Daily
Cut rot
Twice per
and
production
weigh rot run
How
Monitoring
Integrity Visual
of screen
No more Rot in
than 1% 5000 g
by weight sample
rot after
culling
Critical
Limits
Production employee
QC staff
Who
Replace screen
Segregate and
hold product for
evaluation or
destroy or divert
to nonfood use
and/or
Move people
and/or
Slow the line
and/or
Retrain production employees
(cullers) on
inspection
procedures
Segregate product and rework
to eliminate
metal pieces, or
run product
through metal
detector, or divert to nonfood
use, or destroy
Corrective
Action
Review all
records within
one week of
preparation
Sample for
presence of
patulin
quarterly
Review all
records within
one week of
preparation
Verification
*For illustrative purposes only. Models may not be fully consistent with FDAs Juice HACCP Hazards and Controls Guide.
Patulin
Hazard(s)
Notes:
CCP 1
Culling
Critical
Control
Point
(CCP)
CCP 3
Pasteurizer
Critical
Control
Point
(CCP)
Critical
Limits
How
2. Set
pump
speed to
5 to
deliver
>6s
Who
Visual daily
check of
MIG thermometer
Continuous Pasteurrecording
izer
with hourly operator
visual
check of
record.
Frequency
Visual
Pasteurcheck of Daily at be- izer
positive
ginning of Operator
displace- production
ment
pump at
set speed
1. Temp. Temp.
of juice
recorder
What
Monitoring
Documentation of
process
establishment
Verification
Adjust pump
to deliver > 6s Confirm that
pump setting
and/or
delivers correct
flow rate by
Clean and
performing the
sanitize all
salt test
equipment
postReview all
pasteurization records within
one week of
preparation
and/or
Segregate and
hold product
for repasteurizatin or divert
to nonfood
use
Corrective
Action
*For illustrative purposes only. Models may not be fully consistent with FDAs Juice HACCP Hazards and Controls Guide.
E. coli
>160F
O157:H7 and for
Cryptospori- > 6 s
dium parvum
Hazard(s)
Record
keeping
123
124
Notes:
Overhead 108
Objectives
In this module you will learn:
What kinds of records are needed in a
HACCP system
When to record monitoring information
How to conduct a record review
HACCP Principle #7
Establish record-keeping and
documentation procedures
125
Explanatory Note:
Written hazard analysis is required
in the juice HACCP regulation. Some
of the HACCP plan support
documents described in this
chapter may be part of the written
hazard analysis.
Required Records
Records of SSOPs (8 key sanitation
operations)
Hazard analysis/HACCP plan and
supporting documentation used in
developing the plan
Records of CCP monitoring
Records of corrective action
Records of verification activities
1. Hazard Analysis/HACCP Plan Support Documents
HACCP support documents include the information and data used to develop the
HACCP plan. These include the written hazard analysis (Chapter 5) and records of
any information used in performing the hazard analysis and establishing the critical
limits.
Support documents may include sufficient data to establish the adequacy of any
measures to control bacterial growth, to establish the safe shelf life of the product
(if age of the product can affect safety), and to establish the adequacy of a process
in destroying pathogens. In addition to data, support documents may also include
correspondence with consultants or other experts.
Support documents should also include:
2. Monitoring Records
HACCP monitoring records are primarily kept to demonstrate control at CCPs.
HACCP records provide a useful way to determine if critical limits have been
violated. Timely record review by a management representative ensures that the
CCPs are being controlled in accordance with the HACCP plan. This was discussed
in Chapter 10. Monitoring records also provide a means by which regulators can
determine whether a firm is in compliance with its HACCP plan.
By tracking the values recorded on monitoring records, an operator or manager can
determine if a process is approaching its critical limit. Trends can be identified
through record review to make necessary process adjustments. If timely adjustments
are made before the critical limit is violated, processors can reduce or eliminate the
labor and material costs associated with corrective actions.
126
Notes:
Form title
Firm name and location
Time and date
Product identification (including product
type, package size, processing line and
product code, where applicable)
Overhead 112
127
4. Verification Records
Verification records (Chapter 10) should include:
Record-Monitoring Information
Monitoring information should be recorded at the time the observation is made.
False or inaccurate records filled out before the operation takes place or ones that are
completed later are inappropriate for a HACCP system.
Computerized Records
Computerized records are an option to record keeping. When using computerized
records, include controls to ensure that records are authentic, accurate and protected
from unauthorized changes. Additional information can be found in 21 CFR 11.
Record Review
Monitoring records for CCPs and critical limit deviations must be reviewed within
seven days by a HACCP-trained individual. All records should be signed or initialed
and dated by the reviewer.
Sample records are included for each of the monitoring activities identified in
columns 4 to 7 of the HACCP plan for XYZ Apple Juice Co. The names of
these forms should be entered in column 10 of the HACCP plan form. These
records include:
Figure 11.1. Cull report
This form is used to record that the inspectors at the cull step are culling visually
defective apples.
Figure 11.2. Screen integrity report
This form is used to record the integrity of the press screen.
128
Notes:
2.
Hazards
3.
Critical
limits
Monitoring
4.
What
5.
How
6.
Frequency
8.
Corrective
actions
9.
Verification
10.
Record
keeping
7.
Who
129
9/3/01
Critical Limits:
Line:
Number 8
Product:
Time
% of
Rot
Signature/
Initials
No
6:00
a.m.
5,000
50
1.0
G. R.
Smith
7:01
a.m.
4,800
47
0.98
G. R.
Smith
8:05
a.m.
5,010
48
0.96
G. R.
Smith
9:02
a.m.
4,950
45
0.91
G. R.
Smith
10:03
a.m.
5,000
49
0.98
G. R.
Smith
Review:
Seymour Samples
Date:
9/7/01
130
Notes:
9/7/01
Critical Limits:
Line:
Number 8
Product:
Signature/Intials
Pre-Ops
Yes/No (Time)
Post-Ops
Yes/No (Time)
9/3/01.
I. Pressum
9/4/01
I. Pressum
9/4/01.
I. Pressum
9/5/01
I. Pressum
9/6/01
I. Pressum
9/7/01
I. Pressum
Review:
Seymour Samples
Date:
9/10/01
131
3/4/2001
Critical Limits:
Pump Setting 3
Line:
Number 8
Product:
Apple juice
Operator:
Good M. Practice
Line
No.
Lot
No.
Time of
Day
124
Temp.
MIG
( oF)
Temp.
from
Recorder
( oF)
Pump
Setting
Critical Comments
Limits
Met
1:00 p.m.
160
N/A
Yes
134
2:02 p.m.
161
N/A
Yes
144
3:05 p.m.
157
N/A
No
154
4:00 p.m.
161
N/A
Yes
164
4:59 p.m.
160
3*
Yes
160*
See
corrective
actions
*Daily
Monitoring
132
Notes:
170
168
Temperature
166
164
162
160
158
Critical Limit
156
154
7:12 AM
9:36 AM
12:00 PM
2:24 PM
4:48 PM
7:12 PM
Time
Date: 9/6/01
Operator: Donald Aardvark HACCP Coordinator: Dewey Care
133
Irene Wright
Laboratory Director
A-One Laboratories
Jonestown, PA 25418
134
Date:
10/28/01
Sample Number:
Vendor:
Examined by:
Sheila Good
Notes:
Some may question why a validation letter is not needed by XYZ Juice Co. for the
plate heat exchanger. The reason is that the process treatment is what requires
validation. This includes establishment of the correct processing of the critical limit
(supplied by I. M. Helpful of Your State University) and the correct application of
the treatment by the heat exchanger. Often the producer, using specific equipment,
will validate the application of treatment by ensuring proper flow rate and temperature control. The producer would also need to validate the function of the flow
diversion device if installed.
135
136
Instrument/Equipment:
Location in Plant:
Serial Number:
B546
Model Number:
3/2/99
Date
Calibrated Calibration Results
Method of Calibration
Employee
Reviewer
Date
3/27/00
Thermometer was
in calibration.
6/12/00
Thermometer
scale adjusted 1oF
Tested in steam flow
down to match
215 oF using certified
standard therthermometer S.N. 07569
mometer.
9/11/00
Thermometer was
in calibration.
12/4/00
Thermometer was
reading 5oF below
Tested in steam flow
the standard ther215 oF using certified
mometer scale.
thermometer S.N. 56432
Adjusted
Stan
Jones
Becky Allen
12/8/00
2/28/01
Thermometer was
in calibration
Stan
Jones
Becky Allen
3/4/01
Stan
Jones
Becky Allen
6/19/00
Notes:
3/4/01
Lot I.D.:
153
Description of Problem:
At 3:05 p.m., the temperature dropped to 157oF for 30 seconds according to
the recorder.
Explanatory Note:
Figure 11.8. The critical limit failure
in the corrective action report would
not likely have been noted without the
continuous monitoring provided by
the recording thermometer. In a
continuous pasteurizer, when a
temperature drop occurs, the product
in the pasteurizer at the time of the
deviation must be held and evaluated,
re-pasteurized, destroyed or shifted t o
some other acceptable use.
Action Taken:
Temperature drop was noted immediately. The product exiting the
pasteurizer for the next five minutes was destroyed since the system does
not have a Flow Diversion Device.
The system shut down and switched to water.
The system was cleaned and sanitized.
System was restarted; temperature and monitoring were reestablished.
Date Problem Solved:
3/4/01
Current Status:
Remainder of lot is acceptable.
Supervisor:
Reviewer:
Ollie K. Fellows
Seymour Samples Date:
3/4/01
137
138
Metal
inclusion
CCP 2
Screen
What
Screen is
intact
Frequency
pre-op
and
post-op
Daily
Cut rot
Twice per
and
production
weigh rot run
How
Monitoring
Integrity Visual
of screen
No more Rot in
than 1% 5000 g
by weight sample
rot after
culling
Critical
Limits
Production employee
QC staff
Who
Replace screen
Segregate and
hold product for
evaluation or
destroy or divert
to nonfood use
and/or
Move people
and/or
Slow the line
and/or
Retrain production employees
(cullers) on
inspection
procedures
Segregate product and rework
to eliminate
metal pieces, or
run product
through metal
detector, or divert to nonfood
use, or destroy
Corrective
Action
Record
keeping
Patulin
Lab Report
Review all
Screen
records within integrity
one week of
log
preparation
Sample for
presence of
patulin
quarterly
Review all
Cull report
records within
one week of
preparation
Verification
*For illustrative purposes only. Models may not be fully consistent with FDAs Juice HACCP Hazards and Controls Guide.
Patulin
Hazard(s)
CCP 1
Culling
Critical
Control
Point
(CCP)
CCP 3
Pasteurizer
Critical
Control
Point
(CCP)
Critical
Limits
139
Visual
Daily at be- Pasteurcheck of ginning of izer oppositive
production erator
displacement
pump at
set speed
Visual daily
check of
MIG
2. Set
pump
speed to
5 to
deliver
>6s
Who
Continuous Pasteurrecording
izer
with hourly operator
visual
check of
record.
Frequency
Temp.
recorder
How
1.
Temp.
of juice
What
Monitoring
Record
keeping
Thermometer
chart
recorder
Confirm that
pump setting
delivers correct
flow rate by
performing the
salt test
CalibraCalibrate the
tion log
mercury and certified
thermometer annually
Documentation of Pasteuriprocess
zation log
establishment
Verification
Clean and
sanitize all
equipment
postpasteurization Review all records within one
week of
preparation
and/or
Adjust pump
to deliver
>6s
and/or
Segregate and
hold product
for repasteurizatin or divert
to nonfood
use
Corrective
Action
*For illustrative purposes only. Models may not be fully consistent with FDAs Juice HACCP Hazards and Controls Guide.
E. coli
>160F
O157:H7 and for
Cryptospori- > 6 s
dium parvum
Hazard(s)
140
Notes :
Overhead 114
Objectives
In this module you will learn:
What are the requirements of the juice
HACCP regulation
How to reference the specific requirements
On January 19, 2001, FDA published a juice safety regulation based on the seven
principles of HACCP called "Procedures for the Safe and Sanitary Processing and
Importing of Juice." This regulation has become known as "the juice HACCP
regulation." It will be referred to in this chapter as "the regulation." A copy of the
regulation is provided in Appendix I.
Overhead 115
Regulation Format
Subpart A General Provisions
120.1 Applicability
120.3 Definitions
120.5 current Good Manufacturing
Practices
120.6 Sanitation standard operating
procedures
120.7 Hazard analysis
120.8 HACCP plan
Regulation Format
The regulation is part of Title 21 of the Code of Federal Regulations (CFR), Part
120, and is subdivided into two subparts and 15 sections.
141
Overhead 116
Regulation Format
(contd)
Subpart A General Provisions (cont)
120. 9 Legal basis
120.10 Corrective actions
120.11 Verification and validation
120.12 Records
120.13 Training
120.14 Application of requirements to
imported products
Overhead 117
Overhead 118
Notes :
Retail
establishment
Shall
Shelf-stable
product
Should
Validation
Verification
Definitions 120.3
Twenty-one important terms are used throughout the regulation and FDAs Hazards
and Controls Guide (HG). Of the terms listed above, some are focused specifically
on the application of HACCP principles to juice processing, and a few definitions
need to be emphasized.
Juice means the aqueous liquid expressed or extracted from one or more fruits or
vegetables, purees of the edible portions of one or more fruits or vegetables, or any
concentrates of such liquid or puree.
Cleaned means washed with water of adequate sanitary quality.
Culled means separation of damaged fruit from undamaged fruit. For processors of
citrus juices using treatments to fruit surfaces to comply with 21 CFR Part 120.24,
culled means the separation of damaged fruit from undamaged, tree-picked fruit.
Fallen fruit (HG) means fruit that has fallen naturally from the tree to the ground in
an orchard. It does not include mechanically harvested fruit, which is obtained by
shaking the tree and collecting the fruit from the ground with appropriate
mechanical machinery; also called grounders, windfall fruit, drops.
Hazard analysis (HG) means the process of collecting and evaluating information
on hazards associated with the food under consideration to decide what hazards are
significant and must be addressed in the HACCP plan.
Juice concentrate (HG) means the aqueous liquid expressed or extracted from one
or more fruits or vegetables and reduced in weight and volume through the removal
of water from the juice.
Retail establishment means an operation that provides juice directly to consumers
and does not include an establishment that sells or distributes juice to other business
entities as well as directly to consumers. Provides includes storing, preparing,
packaging, serving, and vending.
143
Shelf-stable product means a product that is hermetically sealed and, when stored
at room temperature, should not demonstrate any microbial growth.
Overhead 120
Explanatory Note:
The terms importer, processor and
processing together define who is
subject to this regulation.
Explanatory Note:
The ownership of an imported product
can change many times in a short
period of time after entry into the
United States. However, the person
who is the owner or consignee at the
time that the product is offered for
entry is identified as the importer
because: 1) that person has the ability
to decide whether to offer the product
for entry, and 2) that person is in a
position to ensure that the product is
processed under appropriate controls
and to demonstrate this to FDA.
Pertinent Microorganism The most resistant microorganism of public health significance that is likely to occur in the juice.
Processor means any person engaged in commercial, custom or institutional processing of juice or juice products either in the United States or in a foreign country,
including any person engaged in the processing of juice products that are intended
for use in market or consumer tests.
Processing means activities that are directly related to the production of juice products. For purposes of this part, processing does not include: harvesting, picking, or
transporting raw agricultural ingredients of juice products, without otherwise engaging in processing; and the operation of a retail establishment.
Overhead 121
144
Notes :
Effective Dates
January 22, 2002 for all businesses not
defined as small businesses or very
small businesses in 120.1(b)
January 21, 2003 for small businesses
as defined in 120.1 (b)(1)
January 20, 2004 for very small
businesses as defined in 120.1(b)(2)
Explanatory Note:
The use of the term "should" in the
FDA regulation may differ from its
use in Chapters 5 through 11 of this
manual. Chapters 5 through 11 are
designed to teach the principles of
HACCP, including certain activities
that need to be carried out to properly
implement HACCP plans. Identifying
these activities as those that "should"
be enacted means they are important
for the HACCP program to be effective. Many of these activities may be
mandatory elements of the regulation.
Small businesses are those operations employing fewer than 500 persons.
Very small businesses are those operations that have either annual sales of less than
$500,000, or have total annual sales greater than $500,000 but their total food sales
less
Juice
processors
subject
the
are
than $50,000,
or are operations
that employto
fewer
than an average of 100
full-time
equivalent
employees
and
sell
fewer
than
100,000
of juice inon
the
regulation must use a HACCP units
system
United States.
Overhead
123
regulation
145
Some juice products are exempt from the regulation. Juice produced at a retail establishment is exempt. A retail establishment includes establishments in which
juice is produced and sold directly to consumers, e.g., in stores, from roadside
stands, at farmers markets, and in food service operations, such as juice bars.
Overhead 124
146
Notes :
Overhead 126
Hazards on incoming fruit must be identified in the processors hazard analysis and
controlled under the processors HACCP plan. A juice processor should know as
much as possible about the source of the fruits and vegetables he/she uses to establish that these foods have been grown, harvested and handled in a manner consistent
with the GAPs. Following the GAPs minimizes the likelihood that the produce will
contain pathogenic microorganisms.
Overhead 127
147
148
Notes :
Overhead 130
SSOP Requirements
Mandatory sanitation monitoring of
eight key areas with record keeping
Mandatory corrections with record
keeping
149
Overhead 131
Determine whether there are hazards that are reasonably likely to occur,
for each type of juice produced, and
Identify control measures the processor can apply to control the
identified hazards.
Overhead 132
This means a prudent processor would establish controls because there is a reasonable possibility that a hazard will occur in the absence of control. To make this
decision, examine:
150
Experience,
Illness data,
Scientific reports, and
Other information (e.g., FDA's Juice HACCP Hazards and Control Guide).
Notes :
151
Overhead 134
152
Notes :
153
Overhead 138
Corrective Actions
Two options are available:
Predetermined
Alternate procedure:
Segregate and hold product
Determine product acceptability
Apply corrective action to product and
process
Reassess the HACCP plan
Processors have a choice of developing a predetermined corrective-action plan in
advance as part of their HACCP plans or of following the alternate procedure for
corrective actions provided in the regulation. When a processor develops a plan in
advance, he/she follows the plan that is appropriate when the deviation occurs.
These corrective-action plans become part of their HACCP plans as previously
described in section 120.8(b).
154
Notes :
A proper corrective-action plan describes the steps that are to be taken and assigns
responsibility for taking those steps. It is designed to ensure that:
Segregating and holding the affected product until the next two requirements
are met,
Perform or obtain a review to determine whether the product is safe for distribution. This review must be performed by someone who has adequate training or
experience to understand the public health consequences of the deviation,
Take corrective action, as necessary, to ensure no injurious or otherwise adulterated product affected by the deviation enters commerce,
Take corrective action, as necessary, to fix the problem that caused the deviation, and
Perform or obtain a timely verification of the HACCP plan in accordance with
120.11 to determine whether the HACCP plan needs to be modified to reduce
the risk that the deviation will happen again and modify the HACCP plan as
necessary. This determination must be made by someone who has met the
training requirements covered in section 120.13.
155
Verification 120.11
The HACCP plan must be validated within 12 months of implementation, and at
least annually there after, or whenever any changes occur that could affect the
hazard analysis or the HACCP plan in any way. This could include changes in:
The purpose of the validation is to ensure that the HACCP plan is adequate to
control the food safety hazards which are reasonably likely to occur. It must be
performed by an individual who meets the training requirements described in
section 120.13. If a processor has no HACCP plan because no significant hazards
were identified, then the hazard analysis must be reassessed whenever any changes
occur that could affect the hazard analysis.
The regulation requires ongoing verification activities in addition to periodic plan
re-validation. These ongoing activities are in keeping with the HACCP principle
that verification must ensure that the HACCP plan is being implemented on a
day-to-day basis. These ongoing verification procedures must be listed in the
HACCP plan.
Overhead 141
156
Notes :
Explanatory Note:
For 21 CFR Parts 113 and 114
regulated product records must be
retained for three years.
Required Records
SSOP implementation
Written hazard analysis
Written HACCP plan
Ongoing implementation e.g.,
monitoring, corrective action
Verification and validation
157
Records 120.12
The records required by the regulation must contain certain information.
They must:
Overhead 144
Explanatory Note:
Records, or course, should contain
details of observations and/or real
values of measurements made at each
CCP.
Records Requirements
The following information is required on
each record:
Name and location of the processor or
importer
Date and time of the activity being
recorded (in most cases)
Signature or initials of the operator or the
person making the record
Identity of the product and the production
code where appropriate
Overhead 145
Record Retention
Records must be retained as
follows:
One year for perishable or
refrigerated juices
Two years for preserved, frozen, or
shelf-stable products, or to shelf life,
whichever is greater
Records required under the HACCP regulation, must in most cases, be maintained at
the processing facility or the importers place of business in the U.S. There are
some provisions for off-site storage of records, e.g., when a processing facility
closes between seasonal packs. The provisions state procedures and timeframes for
retrieving the records if official review is requested.
158
Notes :
FDA has existing regulations that preclude disclosure of trade secrets and confidential commercial information. HACCP records that contain such information will not
be disclosed to the public under the Freedom of Information Act.
Training 120.13
The regulation requires that certain activities and functions be performed by an individual trained in the application of HACCP principles to juice processing.
Overhead 146
Processors can use a trained employee or a trained third party to perform these
activities. The jobs may be done by one person or by several as long as they have
been properly trained. The regulation defines a "HACCP trained individual" as one
"who has successfully completed training in the application of HACCP principles to
juice processing that is at least equivalent to that received under a standardized
curriculum recognized as adequate by the U.S. Food and Drug Administration or
who is otherwise qualified through job experience to perform these functions. Job
experience will qualify if it has provided knowledge at least equivalent to that provided through the standardized curriculum." This course material, developed by the
National Juice HACCP Alliance, is the standardized curriculum recognized by FDA.
Imported Products 120.14
It has always been the importer's responsibility to offer for entry into the U.S. products that are not adulterated under U.S. law. FDA's surveillance system for imports
has traditionally consisted of:
Reviews of customs entry forms for juice being offered for entry into the United
States,
Random sample collections for laboratory analysis of products awaiting entry,
and
Automatic detention of products with a history of problems.
159
As with traditional processing-plant inspections, this method is a "snapshot" approach that is not preventive.
Under the juice HACCP regulation, imported juice must also be processed under a
HACCP system in accordance with the requirements of the regulation. Additional
requirements also pertain to importers.
Overhead 147
Importer Responsibilities
Importers are required to:
Import from countries with memorandum
of understanding (MOU), that meets
certain requirements
or
Implement written procedures to ensure
that juice is processed in compliance with
the regulation
Importers may meet their obligation in one of two ways. They may import juice that
is covered by memoranda of understanding between the United States and a foreign
country that, among other things, covers food and documents the equivalency or
compliance of the fore ign countrys inspection system with the U.S. system, and is
functioning and enforceable in its entirety. In this case, they do not need to take any
other action to meet the requirements of the regulation.
Otherwise, the importer must have and implement written procedures for ensuring
that the juice offered for import into the United States was processed in accordance
with the requirements of the regulation. The written procedures shall provide at a
minimum, certain product specifications and affirmative steps.
160
Notes :
Product specifications should cover those characteristics of the product that would
be useful in providing assurance that the product is not adulterated under section 402
of the Federal Food, Drug and Cosmetic Act because it may be injurious to health or
may have been processed under insanitary conditions. For example, such a specification could address a contaminant that may render the food injurious to health. It
may be appropriate for a specification for apple juice to include a maximum limit for
patulin of 50 ppb.
The affirmative steps are to ensure that the juice being imported was processed under controls that meet the requirements of the juice HACCP regulation.
Overhead 149
161
Overhead 150
Overhead 151
An importer may hire a competent third party to perform the verification activities
specified within the affirmative steps. However, the importer remains responsible
for demonstrating to FDA that the requirements have been met.
The importer must maintain records in English that document that the affirmative
steps have been performed. The records must describe the results of the steps. These
records are subject to the records requirements described in section 120.12.
162
Notes :
Process Controls
All juice processors must include control
measures in their HACCP plans to
achieve a 5-log reduction in the
pertinent microorganism, except:
Juice processors subject to Part 113 or Part
114 (acidified juices and low acid canned
juices)
Juice processors who use a single thermal
processing step to achieve a shelf-stable
juice or juice concentrate if they include a
copy of their thermal process in the hazard
analysis
Overhead 153
163
164
Notes :
No action necessary
1.
165
166
Notes :
Overhead 154
Objectives
In this module you will learn:
What sources of information exist to help
identify juice safety hazards and establish
effective control measures
How to use the Juice Hazards and
Controls Guide to identify hazards and
establish control measures
Explanatory Note:
Although not required by the juice
HACCP regulation, it is advisable
to maintain HACCP plan support ing documentation described in
this chapter.
Overhead 155
Sources of Information
Juice processors
Federal, state, and local government
inspectors
Trade associations
Suppliers and buyers
Cooperative extension service
Universities
Publications
Sources of Information on Juice Hazards and Control Measures
You and your employees know your operation better than anyone. Experience is an
excellent source of information. You may already have knowledge about hazards
that can affect your product, and you may have already implemented suitable controls.
Government Inspectors
Federal, state and local inspectors that visit your plant can be a good source of information. Inspectors may point out potential hazards, but it will usually be your responsibility to implement effective control measures.
167
Trade Associations
Trade associations can also provide useful information. Trade journals often provide
general information on potential hazards and controls. Articles on specific processes
or products also can be useful. Some trade organizations provide services such as
consulting, educational programs and publications that can help identify hazards and
control measures.
Publications
The Juice HACCP Hazards and Controls Guide includes information on key aspects
of the juice HACCP regulation, identifies hazards that are common in juice, and
|provides information on how to control these hazards. The Guide can be used as a
resource in conducting your hazard analysis and developing your HACCP plans.
However, you need to perform a hazard analysis to determine whether the hazards
identified in the Guide or other hazards are reasonably likely to occur in your
product(s). Also, to devise effective controls for these hazards, you need to evaluate
your operations. To do this, gather information from a variety of sources and choose
the information that best applies to your situation. Some of the most useful sources
are described in this chapter.
The FDA CPGs provide information on FDA compliance policy. The FDA Import
Alerts are notices from FDA headquarters to district offices concerning new or
unusual problems affecting import products. The CPGs and import alerts can be
obtained by contacting: FDA, Office of Regulatory Affairs (HFC), 5600 Fishers
Lane, Rockville, MD 20857. Alternately, you may purchase the Import Alerts
Manual and the Compliance Policy Guides Manual from: U.S. Department of Co mmerce, Technology Administration, National Technical Service (NTIS), Sales Desk,
5285 Port Royal Road, Springfield, VA 22161 (Phone: 703/487-4650). In addition,
the import alerts can be obtained at http://www.fda.gov/ora/fiars/ora_import_alerts.
html.
168
Notes :
The USDA Food Safety and Inspection Service conducted a 1990 study to determine how to implement the HACCP system in meat and poultry inspection operations. The project resulted in the development of model HACCP plans. Two generic
HACCP models deal with refrigerated foods and cooked sausage. They are available
from: USDA, Food Safety and Inspection Service, Washington, DC 20250.
www.usda.gov/
The CDC is responsible for characterizing risk factors and prevention strategies
for diseases that impact on public health. In addition, the CDC assists local health
agencies in epidemiological investigations of foodborne illness outbreaks. Certain
diseases are reported to the CDC by state epidemiologists. The Morbidity and
Mortality Weekly Report contains summaries of this information. It can be
obtained by contacting CDC at: Morbidity and Mortality Weekly Report, Mailstop
C-08, CDC, 1600 Clifton Road N.E., Atlanta, GA 30333 (Phone: 404/332-4555).
Web address: http://www2.cdc.gov/mmwr/.
169
The FDA home page Internet address is: http://www.fda.gov. From there, you can
easily locate consumer education materials, industry guidance, bulletins for health
professionals and other documents and data from FDA's centers and offices. The
World Wide Web enables you to download and print the documents you want. In
addition, FDA's Office of Plant and Dairy Foods and Beverages maintains a question-and-answer document regarding HACCP issues. Web address: http://vm.cfsan.
fda.gov/~dms/qa2haccp.html
FDA juice information is located on the Center for Food Safety and Applied Nutrition (CFSAN) home page. Use the search option found on the FDA home page to
find CFSAN.
In addition, the FDA maintains a HACCP web site on its home page at http://www.
fda.gov. Useful information relative to HACCP and juice issues may also be found
there as well as information related to scientific issues regarding the safe processing
of juice and juice products.
USDA
USDA Food and Nutrition Information Center has a database on training programs
and resource materials. Web address: http://www.nal.usda.gov/fnic/foodborne/
haccp/index.shtml
FDA/DHHS.1998. "Hazard Analysis and Critical Control Point (HACCP); Procedures for the Safe and Sanitary Processing and Importing of Juice, Proposed Rule,
21 CFR Part 120, 63 FR20450-20486, April 24, 1998.
NACMCF. 1999 public meeting. National Advisory Committee on Microbiological Criteria for Foods, Meeting on Fresh Citrus Juice; Transcript of Proceedings,
NACMCF. 1997. National Advisory Committee on Microbiological Criteria for
Foods, Recommendations on Fresh Juice
FDA. 2001. Patulin in Apple Juice, Apple Juice Concentrates and Apple Juice
Products; Guidance for FDA Components and Industry: Apple Juice, Apple Juice
Concentrates, and Apple Juice Products-Adulteration with Patulin. Web address:
http://vm.cfsan.fda.gov/~dms/patubckg.html.
FDA. 2000. Guidance for FDA Components and Industry; Apple Juice, Apple
Juice Concentrates and Apple Juice Products-Adulteration with Patulin; Draft Co mpliance Policy Guide, (also 65 FR 37791-37792, June 16, 2000). Web address:
http://vm.cfsan.fda.gov/_dms/patuguid.html.
170
Notes :
Schmidt, R.H., C.A. Sims, M.E. Parish, S. Pao, and M.A. Ismail. 1997. A model
HACCP Plan for Small-Scale, Fresh Squeezed (Not Pasteurized) Citrus Juice Operations. Publication CIR 1179, Food Science and Nutrition Department, Florida Cooperative Extension Service, Institute of Food and Agricultural Sciences, University
of Florida.
Subcommittee on Microbiological Criteria, Committee on Food Protection, Food
and Nutrition Board, National Research Council, NAS. 1985. An Evaluation of
the Role of Microbiological Criteria for Foods and Food Ingredients, National
Academy Press.
Overhead 156
Preliminary Steps
1. Assemble HACCP team.
2. Describe food and its distribution.
3. Identify intended use and consumers
of food.
4. Develop process flow diagram.
5. Verify flow diagram.
Overhead 157
171
Overhead 158
172