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Upon Further Review: Preparing for and Handling an FDA Inspection

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Presentation on theme: "Upon Further Review: Preparing for and Handling an FDA Inspection"— Presentation transcript:

1 Upon Further Review: Preparing for and Handling an FDA Inspection
July 12, 2016 Daniel Dwyer Kleinfeld, Kaplan and Becker, LLP

2 Inspection Federal Food, Drug, and Cosmetic Act (FDCA) § 704(a)
Present credentials Written notice Enter any establishment in which food is manufactured, processed, packed, or held; or vehicle Interstate commerce Inspect the establishment or vehicle and all pertinent equipment, finished and unfinished materials, containers, and labeling therein At reasonable times and within reasonable limits

3 § 414 Inspections Inspection extends to all records and other information described in FDCA § 414: FDCA § 414(a)(1): Food that FDA believes is adulterated and presents a threat of serious adverse health consequences or death to humans or animals FDCA § 414(a)(2): FDA believes there is a reasonable probability that the use of or exposure to food will cause serious adverse health consequences or death to humans or animals

4 § 414 Inspections Written notice: FDA Form 482c Covers:
All records needed to determine whether food is adulterated and presents a threat of serious adverse health consequences or death to humans or animals All records relating to the manufacture, processing, packing, distribution, receipt, holding, or importation All records relating to any food likely to be affected in a similar manner Except recipes, financial data, pricing data, personnel data, research data, or sales data (other than shipments)

5 Allergen Inspection FDCA § 704a: FDA must conduct inspections consistent with the authority under FDCA § 704 Ensure reduction of cross- contact with residues of major food allergens that are not intentional ingredients; and Ensure major food allergens are labeled

6 Inspection – Infant Formula
FDCA § 704(a)(3): FDA may access, copy and verify any records: Bearing on whether the food meets infant formula nutritional requirements, or Required to be maintained for infant formula

7 Inspection – Shipments
FDCA § 703: FDA may access and copy shipping records upon written request FDA may access and copy required food transportation records

8 Records Inspection Regulations
Low acid canned foods Acidified foods Seafood Juice Bottled water Certain health claim regulations

9 FSMA Inspectional Authority
Hazard analysis & preventive control records (FDCA § 418) Foreign Supplier Verification Program records (FDCA § 805) Third-party auditor reports (non-consultative) (FDCA § 808(c)(3)) Designated “high-risk” food records (FSMA § 204(d))

10 Form FDA-483 FDCA § 704(b): Upon completion of inspection FDA must provide a written report indicating: Any filthy, putrid, or decomposed substance, or Food prepared, packed or held under insanitary conditions whereby it may have become contaminated with filth, or may have been rendered injurious to health

11 Inspectional Samples FDCA § 704(c): Receipt for samples taken
FDCA § 704(d): Results of analysis shall be furnished promptly to the owner, operator, or agent in charge

12 Food Safety Modernization Act (FSMA) Inspection Goals
FDCA § 421: High-risk domestic establishments: once between 2011 & 2016, then every 3 years Lower-risk domestic establishments: once between & 2018, then every 5 years Foreign establishment: at least 600 by January 2012, double number annually for 5 years Ports of Entry: Risk-based allocation of inspection resources

13 Administrative Detention
FDCA § 304(h) Authorized by 2002 Bioterrorism Act Temporary adjunct to FDA’s seizure authority

14 Summary Guidelines Contact plant manager Check inspector’s credentials
1. Inspector arrives: Contact plant manager Check inspector’s credentials Ask inspector to fill out facility’s sign-in sheet Plant manager contacts Quality and Legal 2. Opening conference: Establish conference room Determine scope of inspection (e.g., routine, follow-up on recall, etc.) Inform inspector of required safety procedures Take notes

15 Summary Guidelines Plan tour based on scope of inspection
3. Inspection Tour: Plan tour based on scope of inspection Accompany inspector at all times Respond to inquiries cooperatively, carefully and accurately When questions arise, do not refuse to provide requested information, but contact Quality or Legal If the inspector takes samples, environmental swabs, pictures or copies of documents, the facility should maintain similar information as part of its inspection record

16 Summary Guidelines 4. Closing conference: 5. Post-Inspection:
Do not sign documents without legal approval Review inspectional observations carefully and ask questions to clarify State that a written response will be provided Make notes of any verbal inspectional observations If a corrective action has already been made, request that it be documented in the inspector’s record 5. Post-Inspection: Prepare written report immediately after the inspection FDA-483 should be responded to within 15 working days Obtain FDA’s Establishment Inspection Report (EIR)

17 Common Issues Photographs
Dow Chemical v. United States, 476 U.S (1986) (however, this case dealt with open-air views of a facility) United States v. Acri Wholesale Grocery Co., 409 F. Supp. 529 (S.D. Iowa, 1976) (however, in this case, management did not object to photography)

18 Common Issues Internal audits Affidavits Timeliness of response
FDA will generally not request records of internal audits conducted under a written quality program Affidavits Timeliness of response Answer questions truthfully and completely, so that the inspector has a correct understanding of the facts

19 Recent Observations Aggressive inspection, sampling, and follow up
Especially on food safety issues Extensive foreign inspections Detention at borders Use of regulatory meetings

20 FDA Office of Criminal Investigations
Inspection authority may be augmented by warrants Seeking criminal evidence, e.g., for – Health fraud Product tampering Adulteration and/or misbranding of food September 2015: Peanut Corp. of America executives sentenced to 28 and 20 years in prison


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