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OPPED Correlation with State Directors 5/31/2007

OPPED Correlation with State Directors 5/31/2007. Custom Exempt Review Process FSIS Directive 5930.1, Rev. 3, 4/26/07. Key Points of Directive. Re-issued to update the review process Last updated 1992 Focus on facilities not on product SPS Regulations issued 1999

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OPPED Correlation with State Directors 5/31/2007

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  1. OPPED Correlationwith State Directors 5/31/2007 Custom Exempt Review Process FSIS Directive 5930.1, Rev. 3, 4/26/07

  2. Key Points of Directive • Re-issued to update the review process • Last updated 1992 • Focus on facilities not on product • SPS Regulations issued 1999 • Regulation 416.1-5 applicable • Added requirements for control of Specified Risk Materials (SRMs) • FSIS Organizational changes • Review of operations, Not Inspections

  3. Custom Slaughter or Processing • Exempt from inspection requirements if slaughtered or processed for owner of animal or product for use in household or non-paying guests • Custom operators must meet non-inspection provisions of Acts and certain regulations, i.e., 416.1-5 • Custom operations in Inspected plants meet 416.1-16

  4. Custom Slaughter or Processing • FMIA and PPIA require custom operators to ensure that carcasses and products are: • Not adulterated or misbranded • Prepared under sanitary conditions • Properly marked and packaged • Stored separately from inspected products • PPIA (21 USC 464(c)(1)(B) – Custom poultry operators cannot buy or sell poultry, e.g., inspected poultry plant cannot provide custom service for poultry

  5. Who Conducts Reviews • Custom Reviews at Federal Plants conducted by OFO inspection personnel • Custom Reviews at Custom Facilities conducted by FSIS Personnel DMs and OPEER RMs will coordinate based on resources and Agency priorities • Custom Reviews in Non-designated States conducted by State Program in “Equal-to” manner • Program monitored by OPEER on State Review

  6. Review Methodology • Review broken down into major areas of concern: • A. Recordkeeping and Documentation • B. Sanitation and Facilities Maintenance • C. Pest Control • D. Inedible Material Control • E. Marking and Labeling Custom Products • F. Pathogen Control • G. Water Supply • H. Sewage and Waste Disposal

  7. Review Methodology • FSIS Form 5930-1 Developed to record findings • Each area of concern has series of questions to prompt reviewers thinking • Form and questions are not a checklist • Unacceptable - non compliant - findings to be recorded with details to support enforcement actions if warranted – supporting statutory of regulatory cites included

  8. Review Methodology • Focus of reviews should be: • Are facilities maintained in a manner to prevent the adulteration of product • Are Custom products segregated from inspected product • Are Operations Conducted eligible for exemption, for example: • Does Poultry Custom Operator buy and sell poultry • Are custom products sold

  9. Frequency of Reviews • Reviews conducted periodically • Operations found in compliance typically reviewed once per year • Follow-up reviews scheduled more frequently based on: • Compliance history • Observed adulterated or misbranded product • Recordkeeping non-compliance • Sanitation non-compliance • Consumer complaints • Available resources

  10. Enforcement Actions • Document and fully describe non-compliant findings (FSIS will use form 5930-1) • DM or RM decide when follow-up reviews are warranted • Failure to correct deficiencies documented in letters to custom operators • Continued failure to operate in compliance with statures or regulations, Agency moves to remove custom eligibility – operators to cease custom operations

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