The USDA National Organic Program (NOP) has published the Strengthening Organic Enforcement (SOE) final rule, an update to the USDA organic regulations, that strengthens oversight and enforcement of the production, handling, and sale of organic products.
The final rule protects organic integrity to increase consumer confidence in the USDA organic seal by supporting strong organic control systems, improving farm-to-market traceability, increasing import oversight authority, and providing enforcement of the organic regulations.
Key provisions of the final rule include requiring:
- Certification of more of the businesses at critical links in organic supply chains
- NOP Import Certificates for all organic imports
- Organic identification on non-retail containers
- Uniform qualification and training standards for organic inspectors and certifying agent personnel
- Standardized certificates of organic operation
- Additional, more frequent reporting of data on certified operations
|Make Sure Food Safety Includes Critical Recall Training|
The rule also specifies certification requirements for producer groups, increases the USDA’s authority for more rigorous on-site inspections of certified operations, and requires more robust recordkeeping, traceability practices, and fraud prevention procedures.
The rule may affect USDA-accredited certifying agents, organic inspectors, certified organic operations, operations considering organic certification, businesses that import or trade organic products, and retailers that sell organic products. Organic operations, certifying agents, and other organic stakeholders affected by the rule will have one year from the effective date of the rule to comply with the changes.
“The Strengthening Organic Enforcement rule is the biggest update to the organic regulations since the original Act in 1990, providing a significant increase in oversight and enforcement authority to reinforce the trust of consumers, farmers, and those transitioning to organic production,” says Under Secretary for Marketing and Regulatory Programs Jenny Lester Moffitt.
To learn more about the final rule, click here.