BRC Risk Assessment

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Methods & Models for

Conducting Risk Assessments


Under the BRC Standard

Safefood 360º provides food safety management software for


industry leading food
BRCbusinesses
Conference everywhere in the world
– Barcelona, October 2015
Why is risk important in food safety?

WHAT IS RISK ASSESSMENT?

BRC Conference – Barcelona, October 2015


What is Risk Assessment (RA)?
• Process or tool for identifying a hazard and
estimating the risk presented by that hazard
• Widely used in the field of food safety
• It may be quantitative or qualitative
• Quantitative – “1 death per year in given population
from hazard X in product Y”
• Qualitative – “High risk”

BRC Conference – Barcelona, October 2015


What is Risk Assessment (RA)?
• Quantitative preferred but seldom possible at site level
• More often characterised by what we don’t know than what
we do know
• Structured approach
• Supports decision making and resource allocation – risk
management
• Contributes to better understanding of hazards and food
safety
• Approach adopted internationally e.g. EU, WHO (Framework)

BRC Conference – Barcelona, October 2015


Risk Framework

Risk Risk
Assessment Management

BRC Conference – Barcelona, October 2015


Steps of Risk Assessment

Hazard Hazard Exposure Risk


Identification Characterisation Assessment Characterisation

BRC Conference – Barcelona, October 2015


Risk Assessments Used in Food Safety
• Proliferation of risk assessments in the food sector
• HACCP
• VA
• TACCP
• Etc.

BRC Conference – Barcelona, October 2015


What is Risk?

Probability x Severity = Risk

BRC Conference – Barcelona, October 2015


How to address requirements under the BRC

RISK ASSESSMENT AND THE BRC

BRC Conference – Barcelona, October 2015


Risk Assessment and the BRC
“The BRC likes risk assessment…”
Definitions in the BRC:
• Risk: The likelihood of occurrence of harm from a hazard.
• Risk analysis: A process consisting of three components:
risk assessment, risk management and risk
communication.
• Risk assessment: The identification, evaluation and
estimation of the levels of risk involved in a process to
determine an appropriate control process.

BRC Conference – Barcelona, October 2015


BRC Food Issue 7
• Referred to no fewer than 97 times in the Standard
• Required documented risk assessment - 14 times
• Implied document risk assessment - 20 times
• Most refer to PRP’s and management processes

BRC Conference – Barcelona, October 2015


When does BRC Require Risk
Assessment?
• Not always clear when and what is required
• Application of language and terminology not always consistent
• “The scope and frequency…shall be established in relation to the
risks”
• “The frequency of these inspections shall be based on risk”
• “The company shall undertake a documented risk assessment”
• “…dependent on risk assessment”

BRC Conference – Barcelona, October 2015


When does BRC Requires a Risk
Assessment?
• “…at a predetermined frequency, based on risk assessment”
• “eliminate potential risks to product safety”
• “prevent any risk of product contamination”
• “minimise the risk”
• “according to risk”
• “The site shall carry out an assessment”
• “on the basis of risk assessment”

BRC Conference – Barcelona, October 2015


Challenges
• When is risk assessment required?
• Should it be documented?
• Should it be structured?
• What is the difference between “The Company shall
undertake a documented risk assessment” and “The site shall
carry out an assessment”?
• What is the difference between “eliminate potential risks to
product safety” and “prevent any risk of product
contamination”
• Very little guidance on risk assessments

BRC Conference – Barcelona, October 2015


Required and Implied Risk
Assessment in the BRC Standard
• Interpretation
• The standard operates on two levels
• Required or Implied
• Required - “The Company shall undertake a
documented risk assessment”
• Implied – “…shall be based on risk”
• Semantics?

BRC Conference – Barcelona, October 2015


Required Risk Assessment – 14 areas

NO REQUIREMENT RISK ASSESSMENT


REQUIREMENTS

2 THE FOOD SAFETY PLAN – HACCP*

2.7 LIST ALL POTENTIAL HAZARDS ASSOCIATED WITH EACH PROCESS STEP, CONDUCT A HAZARD ANALYSIS AND CONSIDER ANY MEASURES Documented RA
TO CONTROL IDENTIFIED HAZARDS – CODEX ALIMENTARIUS STEP 6, PRINCIPLE 1 required
2.7.1 The HACCP food safety team shall conduct a hazard analysis to identify hazards which need to be prevented, eliminated or reduced to Documented RA
acceptable levels. required
3.4 INTERNAL AUDITS*

3.4.1 The scope and frequency of the audits shall be established in relation to the risks Documented RA
required
3.4.4 The frequency of these inspections shall be based on risk (hygiene and fabrication) Documented RA
required
3.5.1 MANAGEMENT OF SUPPLIERS OF RAW MATERIALS AND PACKAGING

3.5.1.1 The company shall undertake a documented risk assessment of each raw material or group of raw materials including packaging to Documented RA
identify potential risks to product safety, legality and quality. required
3.5.1.2 The approval and monitoring procedure shall be based on risk Documented RA
require
3.5.2.1 The company shall have a documented procedure for the acceptance of raw materials and packaging on receipt based upon the risk Documented RA
assessment (clause 3.5.1.1). required

BRC Conference – Barcelona, October 2015


Required Risk Assessment – 14 areas
NO REQUIREMENT RISK ASSESSMENT
REQUIREMENTS

3.5.4 MANAGEMENT OF OUTSOURCED PROCESSING AND PACKING

3.5.4.4 The company shall establish inspection and test procedures for products where part of the processing or packing have been outsourced, Documented RA
including visual, chemical and/or microbiological testing, dependent on risk assessment. required
4.2 SECURITY

4.2.1 The company shall undertake a documented assessment of the security arrangements and potential risks to the products from any Documented RA
deliberate attempt to inflict contamination or damage. Areas shall be assessed according to risk; sensitive or restricted areas shall be required
defined, clearly marked, monitored and controlled. Identified security arrangements to reduce risks shall be implemented and reviewed
at least annually.
4.10 FOREIGN-BODY DETECTION AND REMOVAL EQUIPMENT

4.10.1.1 A documented assessment in association with the HACCP study shall be carried out on each production process to identify the potential Documented RA
use of equipment to detect or remove foreign-body contamination. required
4.10.2 FILTERS AND SIEVES

4.10.2.2 Filters and sieves shall be regularly inspected or tested for damage on a documented frequency based on risk. Documented RA
required
4.10.3 METAL DETECTORS AND X-RAY EQUIPMENT

4.10.3.1 Metal detection equipment shall be in place unless risk assessment demonstrates that this does not improve the protection of final Documented RA
products from metal contamination. Where metal detectors are not used justification shall be documented. The absence of metal required
detection would only normally be based on the use of an alternative, more effective method of protection (e.g. use of X-ray, fine sieves
or filtration of products).

BRC Conference – Barcelona, October 2015


Required Risk Assessment – 14 areas

NO REQUIREMENT RISK ASSESSMENT


REQUIREMENTS

4.14 PEST CONTROL

4.14.2 The frequency of inspections shall be determined by risk assessment and shall be documented. Documented RA
required
5.3 MANAGEMENT OF ALLERGENS

5.3.3 A documented risk assessment shall be carried out to identify routes of contamination and establish documented policies and Documented RA
procedures for handling raw materials, intermediate and finished products to ensure cross-contamination is avoided. required
5.4 PRODUCT AUTHENTICITY, CLAIMS AND CHAIN OF CUSTODY

5.4.2 A documented vulnerability assessment shall be carried out on all food raw materials or groups of raw materials to assess the potential Documented RA
risk of adulteration or substitution. required

BRC Conference – Barcelona, October 2015


Implied Risk Assessments – 20 areas
NO REQUIREMENT RISK ASSESSMENT
REQUIREMENTS

1.1 SENIOR MANAGEMENT COMMITMENT AND CONTINUAL IMPROVEMENT*

1.1.6 The company’s senior management shall have a system in place to ensure that the site is kept informed of and reviews … new risks to Documented RA
authenticity of raw materials implied
2.14 REVIEW THE HACCP PLAN

The HACCP food safety team shall review the HACCP plan and prerequisite programmes at least annually and prior to any changes which may Documented RA
affect product safety …. emergence of a new risk (e.g. known adulteration of an ingredient) implied
3.7 CORRECTIVE AND PREVENTIVE ACTIONS

3.7.2 Where a non-conformity places the safety, legality or quality of products at risk this shall be investigated and recorded including … assessment of Documented RA
consequences by a suitably competent and authorised person implied
3.11 MANAGEMENT OF INCIDENTS, PRODUCT WITHDRAWAL AND PRODUCT RECAL

3.11.2 The company shall have a documented product withdrawal and recall procedure. This shall include …. guidelines for deciding whether a product Documented RA
needs to be recalled or withdrawn and the records to be maintained implied
4.4 BUILDING FABRIC, RAW MATERIAL HANDLING, PREPARATION, PROCESSING, PACKING AND STORAGE AREAS

High-risk areas shall be supplied with sufficient changes of filtered air. The filter specification used and frequency of air changes shall be Documented RA
documented. This shall be based on a risk assessment, taking into account the source of the air and the requirement to maintain a positive air implied
pressure relative to the surrounding areas
4.5 UTILITIES – WATER, ICE, AIR AND OTHER GASES

4.5.1 The microbiological and chemical quality of water shall be analysed at least annually. The sampling points, scope of the test and frequency of Documented RA
analysis shall be based on risk, taking into account the source of the water, on-site storage and distribution facilities, previous sample history and implied
usage.

BRC Conference – Barcelona, October 2015


Implied Risk Assessments – 20 areas
NO REQUIREMENT RISK ASSESSMENT
REQUIREMENTS

4.8 STAFF FACILITIES

4.8.1 Designated changing facilities shall be provided for all personnel, whether staff, visitor or contractor. These shall be sited to allow direct access to the production,
packing or storage areas without recourse to any external area. Where this is not possible, a risk assessment shall be carried out and procedures implemented Documented RA implied
accordingly (e.g. the provision of cleaning facilities for footwear).
4.10.3 METAL DETECTORS AND X-RAY EQUIPMENT

Metal detector checking procedures shall be based on good practice and shall as a minimum include the following:

• Use of test pieces incorporating a sphere of metal of a known diameter selected on the basis of risk. The test pieces shall be marked with the size and type of test Documented RA implied
material contained.
4.10.6 CONTAINER CLEANLINESS – GLASS JARS, CANS AND OTHER RIGID CONTAINERS

4.10.6.1 Based on risk assessment, procedures shall be implemented to minimise foreign-body contamination originating with the packaging container (e.g. jars, cans and Documented RA implied
other pre-formed rigid containers). This may include the use of covered conveyors, container inversion and foreign-body removal through rinsing with water or air
jets.
4.11 HOUSEKEEPING AND HYGIENE

The frequency and methods of cleaning shall be based on risk. Documented RA implied

4.14 PEST CONTROL

4.14.9 An in-depth, documented pest control survey shall be undertaken at a frequency based on risk Documented RA implied

4.15 STORAGE FACILITIES

4.15.1 Documented procedures to maintain product safety and quality during storage shall be developed on the basis of risk assessment, Documented RA implied

5.1 PRODUCT DESIGN/DEVELOPMENT

5.1.2 All new products and changes to product formulation, packaging or methods of processing shall be formally approved by the HACCP team leader or authorised HACCP Documented RA implied
committee member. This shall ensure that hazards have been assessed and suitable controls, identified through the HACCP system, are implemented. This approval
shall be granted before products are introduced into the factory environment.

BRC Conference – Barcelona, October 2015


Implied Risk Assessments – 20 areas
NO REQUIREMENT RISK ASSESSMENT
REQUIREMENTS

5.6.1 PRODUCT INSPECTION AND TESTING

5.6.1.1 There shall be a scheduled programme of testing covering products and the processing environment, which may include Documented RA
microbiological, chemical, physical and organoleptic testing according to risk. The methods, frequency and specified limits shall be implied
documented.
5.6.1.3 The site shall ensure that a system of ongoing shelf-life assessment is in place. This shall be based on risk and shall include sensory Documented RA
analysis and, as applicable, microbiological testing and relevant chemical factors such as pH and aw. Records and results from shelf-life implied
tests shall verify the shelf-life period indicated on the product.
6.1 CONTROL OF OPERATIONS*

6.1.4 Where variation in processing conditions may occur within equipment critical to the safety or quality of products, the processing Documented RA
characteristics shall be validated and verified at a frequency based on risk and performance of equipment (e.g. heat distribution in implied
retorts, ovens and processing vessels; temperature distribution in freezers and cold stores).
6.4 CALIBRATION AND CONTROL OF MEASURING AND MONITORING DEVICE

6.4.2 All identified measuring devices, including new equipment, shall be checked and where necessary adjusted… at a predetermined Documented RA
frequency, based on risk assessment implied
7.4 PROTECTIVE CLOTHING: EMPLOYEES OR VISITORS TO PRODUCTION AREA

7.4.4 Where protective clothing for high-care or high-risk areas is cleaned by a contracted or in-house laundry, this shall be audited either Documented RA
directly or by a third party. The frequency of these audits should be based on risk. implied
7.4.5 Protective clothing shall be changed at an appropriate frequency, based on risk. For high-risk and high-care areas the protective clothing Documented RA
shall be changed at least daily. implied
7.4.7 Where items of personal protective clothing that are not suitable for laundering are provided (such as chain mail, gloves and aprons), Documented RA
these shall be cleaned and sanitised at a frequency based on risk. implied

BRC Conference – Barcelona, October 2015


HACCP & Raw Materials
• Models well defined
• Use a simple matrix model based on probability and
severity
• Focus of specific hazards – Biological, Chemical,
Physical and Allergens
• Focus on specific processes, materials and products
• Based on Codex principles
• CCP’s

BRC Conference – Barcelona, October 2015


Operational and General PRP’s
• Traditional models breakdown or have limited value
• Risk assessment of PRP’s don’t focus on specific
hazards
• Focus is on activities, tasks, programs
• Risk from hazards is “inherited”
• Can cause confusion for the risk assessor

BRC Conference – Barcelona, October 2015


Intrinsic vs Inherited Risk
• Traditional RA’s and HACCP focus on a specific hazard at a
specific process step
• Clear line between hazard analysis, characterisation,
exposure and risk
• The risk is Intrinsic
• For PRP’s the focus is on the potential failure of the
activity based on the inherited risk identified in HACCP
• More akin to FMEA (Failure Mode Effect Analysis) – not a
tool normally used by technical staff in food industry

BRC Conference – Barcelona, October 2015


Example - Calibration

INTRINSIC VS INHERITED RISK

BRC Conference – Barcelona, October 2015


Cooking – cooked meat RTE (HACCP)
• Hazard – E.Coli O157
• Probability (Survival due to inadequate temp/time) –
Medium Probability
• Severity – High Impact
• Risk Rating – High Risk
• Control – temperature and time, core product
• In this case there is a clear line between Hazard
Identification, Risk Assessment and Management

BRC Conference – Barcelona, October 2015


Cooking – cooked meat RTE (PRP –
Calibration)
• Device – temperature probe
• PRP – calibration
• Probability (of being out of calibration) – Medium
• Severity – High (Inherited from the HACCP risk assessment)
• Control – frequency and scope of calibration
• In this case the RA is based on the failure and effect model.
• The probability of failed calibration status combined with the
inherent risk of exposure to the consumer

BRC Conference – Barcelona, October 2015


Risk Assessment for Non-HACCP requirements

RISK ASSESSMENT MODEL

BRC Conference – Barcelona, October 2015


Need for Clear RA Model for Non-
HACCP Assessments
• Different models required for non-HACCP RA’s
• Workbook provided for conducting RA’s on Safefood 360 website
• Internal Auditing
• Calibration
• Cleaning
• Pest Control
• Metal Detection
• Packaging Materials
• Vulnerability Assessment

BRC Conference – Barcelona, October 2015


Construction of RA Models
• Step 1: Define the RA matrix
• Step 2: Define Probability criteria
• Step 3: Define Severity criteria
• Step 4: Define Outcome and Decisions Criteria
• Step 5: Define Special Points of Attention
• Step 6: List all identified points / activities / tasks / programs etc
• Step 7: Describe each point / activity
• Step 8: Describe the risk
• Step 9: Rate the probability and severity to produce risk rating
• Step 10: Define outcomes and decisions

BRC Conference – Barcelona, October 2015


Example RA for Internal Auditing
Programs
• BRC Clause 3.4 Internal Audits “The scope and
frequency of the audits shall be established in
relation to the risks”
• Interpretation – a risk assessment of each audit
program is required and the scope and frequency of
audits shall be established based on this.
Documented risk assessment to support audit of this
requirement.

BRC Conference – Barcelona, October 2015


Example RA for Internal Auditing
Programs
• Risk Assessment Model

BRC Conference – Barcelona, October 2015


Step 1 - Define the RA Matrix

BRC Conference – Barcelona, October 2015


Step 2 – Define Probability Criteria

BRC Conference – Barcelona, October 2015


Step 3 - Define Severity Criteria

BRC Conference – Barcelona, October 2015


Step 4: Define Outcome and Decisions
Criteria

BRC Conference – Barcelona, October 2015


Step 5: Define Special Points of
Attention

BRC Conference – Barcelona, October 2015


Step 6: List all identified points /
activities / tasks / programs etc.

BRC Conference – Barcelona, October 2015


Step 7: Describe each activity / Step
8: Describe the risk / Step 9: Rating

BRC Conference – Barcelona, October 2015


Step 10: Define Outcomes and
decisions

BRC Conference – Barcelona, October 2015


Case Study – Cleaning Programs

HILTON FOODS GROUP

BRC Conference – Barcelona, October 2015


Hilton Foods Group
• Fresh meat processor and supplier to Tesco UK and
Ireland
• Process a variety of animal species
• Objective: Case Study RA Cleaning Programs
• To conduct a risk assessment on all cleaning programs to
determine which pose the greatest risk should failure
occur in the activity. Use the outputs of the risk
assessment to direct cleaning resources and verification
activities to the high risk activities

BRC Conference – Barcelona, October 2015


BRC Requirement - Cleaning
• 4.11 “The frequency and methods of cleaning shall
be based on risk”
• Implied requirement to conduct a documented risk
assessment on all cleaning programs.
• Undertook a full Risk Assessment based on new
model

BRC Conference – Barcelona, October 2015


Defined the risk assessment model
• Used a simple 3 by 3 matrix

BRC Conference – Barcelona, October 2015


Defined probability and severity
requirements
• For each rating the character of the rating was
defined

BRC Conference – Barcelona, October 2015


Defined the frequency and scope of
verification required for High,
Medium and Low ratings

BRC Conference – Barcelona, October 2015


Defined all programs, risks and
ratings
• Listed all cleaning programs and described each and
the associated risks
• Rated each program
• Probability of failure to conduct cleaning correctly
• Severity of impact if failure occurred

BRC Conference – Barcelona, October 2015


Defined all programs, risks and
ratings

BRC Conference – Barcelona, October 2015


Defined Outcomes

BRC Conference – Barcelona, October 2015


Summary of RA
• RA identified that cleaning programs between species posed the greatest risk

• In particular cleaning programs on lines and contact surfaces between species change overs

• Criteria was established for high risk programs to include…


• Clear and detailed cleaning procedures for line change over between species

• Automatic notification of completed cleaning to supervisors

• Visual validation of specific contact surfaces

• ATP positive release


• New requirement to take a high resolution photo of cleaned and visually verified item

• Clear re-clean criteria and automatic alerting of same to management

• Employed IT solution to support the above

BRC Conference – Barcelona, October 2015


Digital Control Record

BRC Conference – Barcelona, October 2015


Outcome

• Structured approach to risk assessment


• Cleaning activities and programs based on RA
• Significant reduction in failures and re-cleans
• Digital recording and management of the process

BRC Conference – Barcelona, October 2015


BRC and Risk Assessment

OPPORTUNITIES

BRC Conference – Barcelona, October 2015


Opportunities

• Proliferation of models… development of new


models
• BRC – consistency in use of the term risk and clarity
on what is required, when, how and where.
• More guidance on risk assessment

BRC Conference – Barcelona, October 2015

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