| Remarks prepared for delivery
by Food Safety and Inspection Service Administrator Alfred Almanza
to the Food Safety Summit, April 28, 2009, in Washington, DC
Notes: Slides are available in an attached
PDF document; individual pages are linked within the text.
Introduction
(Slide
1) I'd like to start by thanking my colleagues on the panel,
as well as Laurie Lehman, Director of Education for the Food
Safety Summit, for her hard work to organize this session.
Events like this Food Safety Summit are important because they
bring all of us together, farm to fork. They remind us that
we have a common goal of producing a safe and wholesome food
supply.
I hope everyone has their seats belts handy—buckle up—this
is going to be a bumpy ride!
Future of Federal Food Safety
Our new president is committed to looking at the entire food
supply, across products and across jurisdictions. Agriculture
Secretary Tom Vilsack is open to considering single agency food
inspection. I think the President and Secretary should be commended
for taking on this difficult task of reviewing the current state
of our food safety system and making it a top priority.
We all need to look at the various levels of risk posed by
different food products and the different performance of the
establishments that manufacture those food products.
We need to ask hard questions about what level of inspection
is appropriate for different kinds of foods, what roles are
appropriate for the different agencies involved in food safety,
and how we approach uniformity in import safety.
The way the future system is structured will unavoidably affect
you and your industry. It is still too early to tell exactly
how, but there is a finite amount of federal resources and this
exercise will determine how these funds are allocated. I can't
emphasis enough how important it is to make sure risk, hazards
and performance are taken into consideration in this process.
FSIS: A Public Health Inspection Agency
(Slide
2) At FSIS, our goal is to develop into a model public health
inspection agency.
We have spent the last three years building a system that supports
the appropriate and effective allocation of resources within
our inspection system. We inspect. It is who we are. It's what
the public demands and the law requires. Yes,
we are public health-oriented, but pure and simple; we are an
inspection agency.
Inspections don't disrupt business. They're part of doing
business and allowing business to thrive.
Science and data will drive our decisions, including:
- Risk assessments and data analysis (e.g. Listeria);
- Public input (e.g. public meetings with industry representatives,
consumers and other public health partners); and
- Baseline studies (e.g. Salmonella).
We understand inspection is a science, not an art.
Risk-based inspection allows our agency to place resources
where they do the most good. This approach was independently
endorsed by the National Academy of Sciences.
I know what works.
And the CDC released a report stating that our efforts to
reduce Salmonella and other pathogens are working.
The bottom line is that consumers—including each of
us—want to know that our food is safe. FSIS makes each
public inspection decision with this in mind.
If our food safety decisions are based on data, we must ensure
that the data we use are reliable. To achieve this,
we are building a dynamic data system called the Public Health
Information System, or PHIS. It will be predictive, analytic
and will alert us to changing and emerging food safety trends.
More on this later
More Than a Decade of HACCP
(Slide
3) As many of you know, the laws governing how we regulate
food safety for meat, poultry and processed egg products are
different than the laws governing other foods. For example,
our laws require mandatory inspection.
Meat and poultry establishments have been under the Hazard
Analysis and Critical Control Point system, or HACCP, for over
a decade, and we are in a better place for it.
We've learned some important lessons along the way about regulating
a system that makes operators responsible for control and responsibility
of their processes, ensures that food safety is built into an
establishment's system and moved us away from 'command and control'
inspection.
Lessons Learned From HACCP
Lesson 1: Workforce Training and Development
(Slide
4) One of the things we found early on in the development
of HACCP is that training field inspection personnel was essential
to monitoring and enforcing HACCP.
We created Consumer Safety Officers, or CSOs, in 2002 who:
- Conduct Comprehensive Food Safety Assessments; and
- Assess the design and overall execution of the entire food
safety system.
We expanded CSOs into Enforcement, Investigations and Analysis
Officers, or EIAOs, who:
- Document administrative enforcement case files;
- Conduct recall effectiveness checks; and
- Investigate consumer complaints.
We also created the Food
Safety Regulatory Essentials Training Program in 2003, for
Consumer Safety Inspectors, or CSIs. The program:
- Ensures competence in verifying SPS, SSOP and HACCP regulatory
requirements, and in following the Rules of Practice; and
- Has been a "condition of employment" for employees newly
hired or promoted as CSIs since 2004.
Lesson 2: Supporting Enforcement Decisions
(Slide
5) We also learned the importance of supporting enforcement
decisions. In 2004, FSIS instituted the Administrative Enforcement
Reporting system which provided a more structured approach to
documenting and supporting enforcement decisions and actions
in accordance with the FMIA, PPIA and the Rules of Practice.
This system has strengthened the Agency's ability to defend
its enforcement decisions when challenged, and ensures due process
entitlements are provided to the establishments subject to enforcement
actions. This strengthened FSIS' ability to support enforcement
cases that were based on a conclusion that the food safety system
was inadequate.
Lesson 3: Fighting Major Pathogens using HACCP
E. coli O157:H7
(Slide
6) E. coli O157:H7—which I'll refer to simply
as E. coli for the rest of this presentation—was
a major problem in the beginning of this decade. There were
a number of major recalls in 2002 and 2003. In response, FSIS
used HACCP regulations to require all establishments to reassess
their HACCP plans.
New research showed that the occurrence of E. coli
on animals entering the slaughter process was higher than previously
thought, so the Agency expressed its view that E. coli
is a "hazard reasonably likely to occur" in the beef industry.
Many firms responded positively. Large slaughter plants dramatically
increased their testing for the pathogen. And for a while, it
looked like establishments were gaining the upper hand on E.
coli. We were finding it at a low frequency, less than
our goal, and the rate of human illness from E. coli
actually met the Healthy People 2010 goal in 2004.
Unfortunately, E. coli is a crafty bug. It has come
roaring back over the last few years. A lack of attribution
data has made it hard to find the source of the problem, but
there is no doubt that we are finding this pathogen almost twice
as frequently as we had been four years ago.
Even so, HACCP positions the Agency and industry well to deal
with this changing problem. Many in industry recognized that
E. coli is addressed most effectively in slaughter
plants and have started to rely on prerequisite programs to
prevent the occurrence of E. coli in their operations.
There's still a problem, though. Many plants seem to think
that once they set up the prerequisite program, their work is
done. It is not. They are obligated to verify the ongoing
effectiveness of a prerequisite program in the same way they
are required to verify ongoing effectiveness of a CCP.
We are engaged in a constructive dialogue to help plants—particularly
grinding plants—understand and fulfill their responsibilities.
Listeria monocytogenes
(Slide
7) The story is better with Listeria. In 2003,
FSIS issued an interim final rule announcing that Listeria
is a hazard "reasonably likely to occur" in ready-to-eat food
products. The Agency outlined three ways establishments can
address Listeria in their HACCP plan.
The result? Plants have generally strengthened their programs,
and human illness levels from Listeria have hovered
at a level around the Healthy People goal for the last four
years. But we're not becoming complacent; FSIS is learning
to use our EIAOs even more effectively to assess whether establishments
maintain control over Listeria.
Salmonella
(Slide
8) The third major pathogen is Salmonella. Our
efforts to use HACCP against this pathogen suffered a blow eight
years ago when a court ruled that our performance standard for
Salmonella in ground beef is not legally enforceable.
But HACCP still manages to provide useful tools to fight the
pathogen.
HACCP focuses on an establishment's control of its process,
and we have used the performance standard to measure process
control. In 2006, we set a goal to have 90 percent of poultry
slaughter plants exercising excellent process control by 2010.
At the time, only a little more than half were doing so.
Today, I'm happy to report that over 80 percent of poultry
slaughter plants are achieving this level of control. And we
are optimistic that the industry will achieve this goal. We
lag in achieving the human illness goal set out in Healthy People,
but we believe we are on the right track.
Summary of HACCP Lessons Learned
(Slide
9) So, the story of the first decade of HACCP, is the story
of how FSIS and industry learned to use the flexibility
of HACCP. Establishments learned how to develop more effective
processes, and FSIS put a more effective, ongoing verification
system in place.
We have learned that if all inspection tasks are not performed,
conditions in a plant can slowly slide out of control. And the
loss of control only becomes obvious when product from the plant
is released into commerce, and then must be recalled.
We have learned that trends in HACCP data can be difficult
to spot. And that it's often challenging to put together different
findings to see that a trend is developing.
Implementation of HACCP continues to evolve; but we are confident
in this system-based approach. Over a decade later, HACCP is
changing, but still effective.
We are taking these 'lessons learned' and using them to develop
the PHIS system I mentioned earlier.
PHIS
(Slide
10) PHIS is a project that FSIS is excited about. It's an
information and monitoring system.
The system is being designed to:
- Alert inspectors to dangerous food processing trends;
- Rapidly detect and respond to everything from pathogen outbreaks
and unsafe practices to widespread violations;
- Better coordinate with managers, stakeholders and other
agencies while improving investigations and adulterant tracing;
and
- Enter, coordinate and store information in centralized data
warehouse.
Information will be constantly monitored, compared and assessed
for unsafe patterns and anomalies that could spell trouble.
Inspectors can take immediate action.
Establishments will be placed into a three-tiered structure.
The system is expected to be working by October 2010.
Closing
(Slide
11) We are partners in food safety. FSIS is evolving to
be the best at our job in the food safety system.
And we continue to provide information through our publications,
podcasts, regulatory
education sessions and other outreach efforts to help FSIS
personnel and state employees, industry and consumers do their
part.
Thanks for your time, and I welcome any of your questions at
the end of the panel. |