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ISO TS 22002-1 clause 9.3

Started by , Jan 19 2020 04:54 PM
1 Reply

Can someone halp me to understand better if the moniotoring of raw materials, packaging materials are to be considerate as PRP or oPRP or CCP?

The lause 9.3 of ISO TS 22002-1 report "Materials shall be inspected, tested or covered by COA to veriiy conformity with specified requirements prior to acceptance or use. The method of verification shall be documented." so I think all the controlls should be PRP so I don't have to apply the HACCP system clause 8.5.2 of FSSC 22000

But If I have mandatory limits like for ex. heavy metals (Reg CE 1881) are the PRP or became oPRP or CCP?

 

 

Thank you in advance

Mauro

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Can someone halp me to understand better if the moniotoring of raw materials, packaging materials are to be considerate as PRP or oPRP or CCP?

The lause 9.3 of ISO TS 22002-1 report "Materials shall be inspected, tested or covered by COA to veriiy conformity with specified requirements prior to acceptance or use. The method of verification shall be documented." so I think all the controlls should be PRP so I don't have to apply the HACCP system clause 8.5.2 of FSSC 22000

But If I have mandatory limits like for ex. heavy metals (Reg CE 1881) are the PRP or became oPRP or CCP?

 

 

Thank you in advance

Mauro

 

Hi Mauro,

 

^^^^ (red) - Yes.  In fact raw material controls have afaik been handled within a PRP  "menu" for both Codex/NACMCF and ISO22000 (8.2.4-f,g)/iso22002-1  Standards for many years.(although in the early days of haccp, plans with raw material CCPs were the "norm").

 

^^^ (blue) - assuming you are referring to raw material limits, still PRPs unless part of a specific Regulatory CCP.

 

 

For an fssc22000(iso22000:2005) example (using PAS220) see -

 

http://www.ifsqn.com...ge-7#entry50651


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