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Key implications of FSMA for food packaging suppliers

Understanding the impact of FDA's Preventive Controls provision and Foreign Supplier Verification Program (FSVP) js key to helping packagers navigate the Food Safety Modernization Act.

FSMA’s Preventive Controls and Foreign Supplier Verification provisions are of particular relevance to food packaging suppliers.
FSMA’s Preventive Controls and Foreign Supplier Verification provisions are of particular relevance to food packaging suppliers.
It has been more than three years since President Barack Obama signed into law historic food safety legislation—the FDA Food Safety Modernization Act (FSMA). The law has two major themes: prevention and accountability. Prevention means that food companies need to have controls in place during manufacturing to assure the safety of their products and to prevent problems (not just react to them after the fact). Accountability means that food companies are accountable to the Food and Drug Administration (FDA) to help ensure that their suppliers are making safe ingredients.
 
Although the law primarily has significant implications for food manufacturers, importers, and the fresh produce industry, it also affects the food packaging industry. Importantly, not all provisions in FSMA apply to food packaging in the same way. Some provisions of the new law make food packaging manufacturers accountable to the FDA, while other provisions make food packaging manufacturers accountable to their customers. In order to help keep everything straight, I encourage you to think about a few key principles as you read on.
 
  • First, who does the legal requirement apply to? Some requirements apply to “food” as defined in the Federal Food Drug and Cosmetic Act (FFDCA), and others apply to • “registered” food facilities.
  • Second, where is your business in the supply chain? Are you acting as a seller or as an importer/buyer?
  • Third, who cares about your activities? Is it the FDA or your customers (or both)?

There are two major provisions in FSMA that are particularly relevant to food packaging manufacturers and their relationships with their food-industry customers: Preventive Controls and the Foreign Supplier Verification Program. Third-party certification is a tool that may help ease compliance for food packaging companies.

 

Preventive Controls

The Preventive Controls provision is found in Section 103 of FSMA (FFDCA Section 418). It requires all registered food facilities to evaluate the hazards that could affect food manufactured, processed, packed, or held by the facility, to identify and implement preventive controls to significantly minimize or prevent the occurrence of such hazards, and provide assurances that the food is not adulterated and does not contain any undeclared allergens.

As stated above, this requirement applies to all food facilities registered as required by Section 415 of the FFDCA. By regulation, the FDA has exempted food packaging companies from the registration requirement (it defined “food” to exclude “food contact substances” for registration purposes). This means that these companies are exempt from the legal requirement to comply with the Preventive Controls provision—meaning such companies are not accountable to the FDA. But in practice, they are still accountable to their customers.
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