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Iso22000 2018

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ISO 22000:2017

DIS
Food Safety Management
Systems Manual
[Preview]
[Company Name]

ADDRESS

Phone: Phone:
Fax: Fax:

The holder of this manual is cautioned that the information contained herein must not be loaned or
circulated outside of [Company Name] except where authorized in accordance with the
Organization’s policies and administration procedures. This manual is the property of [Company
Name] and shall be returned when requested.
Food Safety Management Systems Manual

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4.2 Understanding the needs and expectations of interested parties


Interaction of [Company Name] with the interested parties (fig. 4.2-01) includes:

• defining interested parties relevant to the FSMS;


• monitoring and analysis of interested parties’ needs and expectations.
Defining interested parties relevant to the FSMS is carried out in the
management review (sec.9.3).

Monitoring and analysis of interested parties’ needs and expectations is


conducted on a regular basis in accordance with the diagram shown in Fig. 4.2-
01.

Basic Needs and Form of Information about


Interested party Expectations of the Interested Parties Needs
Interested Party and Expectations
Owners Minimization of risks and Shareholders (owners) Meetings
Stakeholders losses, including penalties. minutes – reviewed by the
Increase of market Leadership
capitalization
Customers Absence of negative impact Safety indicators results analysis
of food on the customers’ tables (lab). Customer
health, including acute satisfaction review via
diseases. conducting tastings, polls,
Internet discussions (Marketing
department).
State via Legislative Health of the Nation and The legislative requirements for
and regulatory bodies longevity increasing as the food safety are reviewed by the
(local, regional, State sustainable Department of Quality and Food
development component. Safety Management
state / provincial,
Compliance with national
national or
laws and international
international
standards
Society Improving human health, External communication
minimizing risks of poisoning. (sec.7.4.3)
Employees Proper working conditions, Internal communication
reducing the incidence of (sec.7.4.2), internal and
external training programs,

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Basic Needs and Form of Information about


Interested party Expectations of the Interested Parties Needs
Interested Party and Expectations
occupational injuries, medical examination of
infectious diseases. employees, health insurance
program.
Obtaining of stable profits, Contracts, protocols of
Organizations- long-term and reliable meetings, ‘Provider-customer-
customers cooperation, minimizing the provider’ negotiations
risk of supply disruptions.
Obtaining of profits, long- Contracts, ongoing analysis of
term and reliable cooperation cooperation (acts, protocols),
Providers
protocols of meetings,
negotiations

Fig.4.2-01. Monitoring and Analysis of Interested Parties Needs and Expectations


Diagram

The two-way communication is carried out between the organization and the
interested parties, that includes the transfer of information about the
organization’s activities and the FSMS.

The results of monitoring and analysis of the interested parties’ needs and
expectations are taken into account:

• when defining the scope of the FSMS (sec. 4.3.);


• when establishing the Food Safety Policy (sec. 5.2) and Objectives of the
FSMS (sec. 6.2);
• in the Management Review (sec. 9.3);
• in operational planning and control (sec.8.1).

5.3 Roles, responsibilities, and authorities in the organization


[Company Name] Leadership ensures the responsibilities and authorities for the
relevant roles were set, communicated, and understood within the organization.

Organizational structure of [Company Name] subdivisions that are in scope of the


FSMS is provided in the fig. 5.3-01.

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Place the chart of your organization’s structure of subdivision that are included
in scope of the FSMS

Figure 5.3-01. Organizational Structure of [Company Name] subdivisions that are in the
scope of the FSMS

Responsibilities of [Company Name] top management is given in section 9.3.

Top management appoints the food safety team (FST) and the Food safety team
leader (FST leader).

FST leader is responsible, among other things, for:

• ensuring that the FSMS conforms to the standard ISO 22000:2018


requirements;
• ensuring the FSMS is established, implemented, maintained and updated;
• coordination of FSMS processes, ensuring ‘Communication’ (sec.7.4),
‘Corrective actions’ (sec. 10.1), as well as responsibility for development,
application and risk management structure support in the FSMS (sec.6.1);

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• formation of FST from organization subdivisions’ employees (sec.7.2);


• managing and organizing the work of the FST;
• ensuring relevant training of and competencies for the FST;
• coordination and control of the procedure incoming control of raw
materials, components, ingredients, packaging materials etc. for further
processing in the ‘Production and service provision’ process;
• organization of FSMS ongoing personnel training (sec.7.2);

• definition of competence requirements of external providers that can affect


FSMS (sec.7.1.6, sec.7.2);
• providing training on FSMS, Food Safety Policy and Food Safety objectives
for employees of contractors who work on site of the organization
(sec.7.2);
• summarizing the information on changes (sec.7.4.3) for management
review;
• protection against unintentional changes in records that are evidence of
compliance (sec.7.5);

• ensuring PRP’s development, appointment of a person responsible for PRPs


control and establishing frequency of PRPs verification (sec.8.2);
• ensuring traceability system (sec.8.3);
• participation in development of the ‘Plan for Localization and Elimination of
Emergencies and Accidents’ and the ‘Annual PLEEA training sessions
schedule’ (sec.8.4);
• maintaining control copies of Hazard control protocols (sec.8.5);
• control over proper compliance with the developed verification activities
related to PRPs and HACCP plan (sec.8.8);
• initiating the development of corrective actions in the event of exceeding
critical limits for CCPs and / or failure to meet action criteria for PRPs
(sec.8.9.2);
• creating commissions and proper implementation of correction in relation
to potentially unsafe products, which were affected by exceeding critical
limits for CCP or failure to meet action criteria for PRPs (sec.8.9.3);
• ensuring that products identified as potentially unsafe are under control
until they are evaluated; and informing relevant interested parties
(sec.8.9.4);

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• participating in making decisions on nonconforming products actions


(sec.8.9.4);
• ensuring complete and timely withdrawal or recall of the end product that
has been identified as potentially unsafe (sec.8.9.5);
• analysis of the internal audits results by the FST (sec.9.2);
• effectiveness of corrective actions on the FSMS (sec.10.1);
• reporting to the top management on the FSMS effectiveness and
suitability, including opportunities for FSMS improvement (sec.10.2,
sec.10.3);
• communication with interested parties on matters relevant to the FSMS.

FST members:

• carry out ongoing monitoring of infrastructure objects food safety


requirements (sec.7.1.3);
• participate in adaptation of externally developed FSMS elements to the
processes and products of the organization (sec.7.1.5);
• provide accounting of information on changes (sec.7.4.3) when updating
the FSMS;
• approve PRPs (sec.8.2);
• define legislative / regulatory food safety requirements and draft
‘Description of raw materials, ingredients and product contact materials’
protocol (sec.8.5.1.1) and the ‘End-product description’ protocol
(sec.8.5.1.2);
• develop, validate and update process flow diagrams for each product type
(sec.8.5.1.4.1; sec.8.5.1.4.2);
• describe processes and process conditions for each product type (sec.
8.5.1.4.3);
• conduct hazard analysis (sec. 8.5.2);
• conduct validation of control measures and combination of control
measures (sec. 8.5.3);
• develop hazard control plan (HACCP plan) (sec. 8.5.3), including
determination of critical limits, action criteria and actions when critical
limits or action criteria are not met;
• update information that determines HACCP plan and PRPs (sec. 8.6);
• analyze previous measurement results when the equipment or work
environment does not meet the requirements (sec.8.6);

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• conduct verification relevant to PRPs and HACCP plan and evaluate


verification plan individual results (sec. 8.8);
• participate in Commission for conducting correction with regards to the
potentially unsafe products that were affected by exceeding critical limits
at CCP or failure to meet action criteria for PRPs (sec.8.9.3);
• conduct identification, evaluation of hazards and distribution of control
measures to prevent potentially unsafe products from entering the food
chain (sec.8.9.4);

• analyze the criticality of end-products nonconformities, determine corrective


actions to eliminate nonconformities (sec.8.9.4);

• develop corrective actions aimed at determining and eliminating the


causes of identified nonconformities, preventing reoccurrence and proper
process control after the nonconformity was eliminated (sec 10.1);
• evaluate FSMS and develop activities for its improvement (sec. 10.2).

Quality Management Department head is responsible, among other things,


including conducting FSMS management review (sec.9.3), for:

• external communication with external providers on the quality of raw


materials, components, ingredients, packaging materials (sec.7.4.2);
• marking the product with the appropriate information signs to ensure safe
processing, storage, etc. (sec.7.4.2);

• FST communication on legislative/ normative FSMS requirements,


including changes, as well as complaints, risks and warnings, indicating
food safety hazard, relevant to end-product (sec.7.4.3);
• control of documented information (sec.7.5);
• ensuring system traceability (sec.8.3);
• ensuring control of proper observance of the developed verification
activities related to the PRPs and HACCP plan (sec.8.8);
• initiation of corrective actions development in the event when critical limits
exceeded at CCPs and / or action criteria are not met for PRPs (sec.8.9);
• participating in making decisions regarding handling the nonconforming
products (sec.8.9.4);
• internal audit (sec.9.2);
• creating the program, conducting the 2nd party audits of suppliers and
analysis of the audit results (sec.7.4.2).

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Health officer is responsible for:


• ensuring hygiene of the personnel and sanitary condition of premises
(sec.7.1.4);
• FST communication on cleaning and sanitation techniques, including
changes (sec.7.4.3).

Microbiological laboratory head is responsible, among other things, for:

• microbiological control of the sanitary condition of industrial premises


(sec.7.1.4);
• microbiological control of personnel hygiene (sec.7.1.4).

Production laboratory head is responsible, among other things, for:

• initiating the development of corrective actions based on the results of


monitoring at CCP related to the equipment operation (sec.8.9);
• participating in making decisions regarding handling the nonconforming
products (sec.8.9.4).
HR manager is responsible, among other things, including FSMS management
review (sec.9.3), for:

• organization of FST Regulations development containing a section with FST


leader competence requirements and a section with FST members
competence requirements (sec.7.2);
• inclusion of FSMS requirements for competence and responsibilities in the
personnel job descriptions (sec.7.2);
• drafting and implementation of the Annual personnel training plan, that
includes FSMS training (sec.7.2);
• FST communication about FSMS competence and distribution of personnel
responsibilities, including changes (sec.7.4.3).

Process owners are responsible for process operation and, above other, ensure:
• the completeness of process description;
• definition of responsibilities and authorities of process operators;
• sufficient resources within the process budget;
• definition of process criteria;
• compliance with the requirements for food safety in the process, including
the requirements of ISO 22000:2018;

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• analyses of trend and provision of information for management review;


• identification, analysis, and treatment of risks and opportunities (sec.6.1);
• activities to improve the process using process resources and (or) the
initiation (and escalation to the leadership) of process improvement
projects that require the budget of the organization (sec.6.2).

IT manager is responsible, among other things, for (sec.7.1.3; sec.8.7):

• validation of the software before; documenting validation results;


• timely software update;
• authorization and validation of software before use the whenever changes
occur, including software configuration.

Product manager is responsible, among other things, including FSMS


management review (sec.9.3), for:

• FST communication about the development of new types of products and


changes in production technology, product characteristics, raw materials,
components, ingredients, packaging and storage (sec.7.4.3);

• participating in making decisions regarding handling the nonconforming


products (sec.8.9.4).

Maintenance manager is responsible, among other things, including conducting


FSMS management review (sec.9.3), for:

• FST communication about changes in production equipment and


renovation of industrial premises (sec.7.4.3).

Environmental Management Department head is responsible, among other


things, including conducting FSMS management review (sec.9.3), for:

• FST communication about environmental management (sec.7.4.3).

Marketing manager is responsible, among other things, for:

• FST communication regarding customer requirements, complaints and


warnings, that indicate food safety hazard, relevant to end-product
(sec.7.4.3).

Sales manager is responsible, among other things, for:

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• FST communication regarding customer requirements (sec.7.4.3).

Metrologist is responsible, among other things, for:

• FST communication on monitoring and measuring, including changes


(sec.7.4.3).

All personnel are responsible for communicating information about problems in


the field of FSMS (sec.10.1)

Responsibilities and authorities of personnel of subdivisions that are in scope of


the FSMS are distributed and documented on in the corresponding sections of job
descriptions.

Responsibilities and authorities of [Company Name] employees, defined on


different levels, are agreed with each other and communicated to each
employee.

7.1.4 Work Environment


In [Company Name] the activity to define, ensure and maintain the work
environment and to achieve compliance with FSMS requirements includes (fig.
7.1-01):

• Ensuring the hygiene of personnel and sanitary condition of production


premises
• occupational health and safety provision;
• environmental management (ecology).

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Work Environment

Ensuring the hygiene of personnel Occupational Environmental


and sanitary condition of health and safety management
production premises provision (ecology)

Prevention or
Prevention or reduction of Prevention of mitigation of
biological, chemical and physical work-related injury adverse
contamination of products and/or ill health environmental
impacts

Fig. 7.1-01 The scheme of the components of the work environment

Normative requirements for the work environment are defined by:

• state sanitary norms and rules;


• state legislation on the production of high-quality and safe food products;
• legal requirements for occupational health and safety provision;
• compliance obligations for environmental management.

Normative requirements are being updated and are available in accordance with
‘Control of documented information’ (sec.7.5).

a) Health officer is responsible for Ensuring the hygiene of personnel and


sanitary condition of production premises.

Ensuring the hygiene of personnel and sanitary condition of production premises


includes:

• Verification on job applicants’ health status upon hiring, including the


absence of infectious diseases;
• Conducting introductory briefings on hygiene and sanitation, when hiring
employees;
• Conducting medical checkup of employees with a fixed periodicity;
• Daily monitoring of the production subdivisions’ personnel at the beginning
of work: observance of personal hygiene (proper passage into the clean
zone through the shower, etc.); proper appearance of employees
(according to the developed visualizations); examinations of the open
surfaces of the body of workers (employees with pustular skin diseases,

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suppuration cuts, burns, abrasions, as well as with catarrhs of the upper


respiratory tract are not allowed to work);
• Daily monitoring of personnel for infectious diseases.
• Daily clean up and disinfection of industrial, common, storage facilities;
• Daily clean up and disinfection of sanitary units;
• Daily washing and disinfection of production equipment in accordance with
sanitary regulations for each equipment type, noting the work performed
in the journals.
• Daily selective monitoring by the microbiological laboratory of personnel
hygiene by swabbing the hands and clothing of personnel;
• Daily selective monitoring by the microbiological laboratory of the sanitary
condition of the production premises - the quality of equipment cleaning
and the cleanliness of the air in the production area.

Commission is appointed by the order of the director to monitor the sanitary


condition of industrial, domestic, storage facilities. The commission carries out
weekly sanitary checks. The results of the check ups are recorded by the
protocol. In case of a non-conformity, a nonconformity protocol is drafted and
corrective actions are taken (sec 10.1).

b) Deputy director for labor protection is responsible for occupational health


and safety (OH&S) provision.

OH&S laboratory measures the following occupational health and safety


indicators:

• microclimate - temperature, humidity, speed of air movement in the


working area;
• dustiness;
• noise;
• luminosity;
• microbiological indicators.

Four-step monitoring of OH&S activities efficiency includes:

• Monthly inspections of OH&S activities – are conducted before the start of


work by the process operator (supervisor) independently. The results of
the inspection are recorded in the Monthly OH&S status verification journal
and are managed by the OH&S commissioner in the subdivision. Identified
nonconformities are registered in the protocol (sec.10.2).

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• Weekly inspections of OH&S activities in structural subdivisions – are


conducted by a commission chaired by the process owner (structural
subdivision leader). Commission composition is approved by the order for
the structural subdivision. Based on the inspection results, an order is
issued for the structural subdivision.

• Complex monthly inspections of OH&S activity, fire safety and


environmental management are conducted by a commission chaired by the
OH&S Department head. Commission composition is approved by the
order for the organization. Based on the inspection results an act is drafted
and an order is issued for the organization.

• Target inspections of working conditions, fire safety and environmental


management are carried out by the OH&S Department, in accordance with
the approved schedule, chaired by the OH&S Department head. Based on
the inspection results, an act is drafted.

c) Environmental management department head is responsible for


environmental management (ecology).

Environmental indicators criteria are established based on analysis of existing


compliance obligations. The criteria are used to evaluate:

• fuel, electricity and heat consumption;


• operation of gas treatment and dust collection facilities;
• water consumption (drainage);
• quality and quantity of discharged sewage;
• amount of waste, packaging materials and containers.

The state of environmental protection in structural subdivisions is monitored at


regular intervals shift based, daily, weekly and monthly:

• Shift supervisor conducts shift based* monitoring of the environmental


state before the shift begins. Results are recorded in the daily inspection
journal of the production subdivision.
• Structural subdivision leader (or a deputy) and environmental
management department employee conduct daily monitoring of the
environmental state. Monitoring covers entire territory of the production

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subdivision and all its sections. The results are recorded in the daily
inspection journal of the production subdivision.
• In all structural subdivisions in scope of the FSMS, a Commission conducts
complex monthly monitoring of the environmental state, labor protection,
and fire safety. Commission members are approved by the order of the
director. The results are recorded in the act.

Unscheduled measurements of environmental characteristics are conducted in


the following cases:

• if environmental characteristics exceed the permissible level,


• in the event of an emergency,
• when complaints are received from legal entities, organizations, or the
public,
• on written request of the environmental management department head,
senior management and structural subdivision leaders.

Based on the results of measurements of the environmental characteristics, the


environmental laboratory prepares a report and sends it to the Environmental
management department. Environmental management department head
provides analysis of the results.

Results of the activity to define, ensure and maintain the work environment are
analyzed by top management (sec.9.3).

7.4.3 Internal communication


Internal communication of the personnel is conducted via:

• workshops at different levels;


• FST meetings;
• use of the corporate intranet;
• communication of managers with workers at the work sites.

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FST coordinates internal communication on the FSMS issues, including changes,


as per table 7.4-01.

Table 7.4-01

FSMS issues internal communication diagram

Type of communication Form of Responsible for Frequency of


communication communication communication
Development of new FST meeting Product manager
types of products and information
changing product
characteristics
Changes in raw materials, FST meeting Product manager
components, ingredients information
Changes in production FST meeting Product manager
technology information
Changes in production FST meeting Maintenance
equipment information manager
Production facilities FST meeting Maintenance
renovation; change of information manager
production equipment
location
Changes in environmental FST meeting Environmental
management information Management
Department head
Changes in cleaning and FST meeting Health officer
sanitation techniques information
Changes in packaging and FST meeting Product manager
storage information
Changes in competence FST meeting HR manager
or authority information
Changes in legal / FST meeting Quality
regulatory requirements information Management
Department head
Information on food FST meeting FST Leader
safety risks of and the information
methods their
management
Customer requirements FST meeting Sales manager/
communication information Marketing
manager
Information on external FST meeting According to
interested parties information figure 4.2-01
Complaints, risks and FST meeting Quality
warnings indicating food information Management When changes
Department were made

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Type of communication Form of Responsible for Frequency of


communication communication communication
safety hazards relevant to head/ Marketing
the end product manager
Changes in monitoring FST meeting Metrologist
and measurements information

FST ensures recording of information (Table 7.4-01) when FSMS is updated.

FST Leader summarizes the information (Table 7.4-01) for management review
(sec. 9.3).

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