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Charles Chew

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Posted 12 January 2006 - 04:01 PM

Clause 4.1 (d) states that where an organization chooses to outsource any process that may affect end product conformity, the organization shall ensure control over such processes. The controls shall be documented in the
FSMS.

You may have missed this out in your implementation but it is an important element under an ISO 22000 Audit. However, it does make a whole lot of sense that you should ensure control over outsourced processes simply because the end responsibility remains that of the brand owner.

So, I guess the Hazard Risk Assessment & CCP Determination including the CL needs to be mutually validated while the monitoring control measures are verified as effective.

Hey! who said ISO 22000 is goin to be easy :crybaby:


Cheers,
Charles Chew
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Simon

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Posted 16 January 2006 - 08:54 PM

Hey! who said ISO 22000 is goin to be easy :crybaby:


Don't complain mate if it was easy we wouldn't need people like your good self. :thumbup:

Simon

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Esther

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Posted 04 February 2006 - 02:12 PM

Clause 4.1 (d) states that where an organization chooses to outsource any process that may affect end product conformity, the organization shall ensure control over such processes. The controls shall be documented in the
FSMS.

You may have missed this out in your implementation but it is an important element under an ISO 22000 Audit. However, it does make a whole lot of sense that you should ensure control over outsourced processes simply because the end responsibility remains that of the brand owner.

So, I guess the Hazard Risk Assessment & CCP Determination including the CL needs to be mutually validated while the monitoring control measures are verified as effective.

Hey! who said ISO 22000 is goin to be easy :crybaby:


Hello Charles

I am not surprised, the same thing ( control over outsourced processes or contractors ) is happening with another type of systems, for example, the Health and Safety system, well, that is at least in Spain.

Regards
Esther




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