FSSC 22000 requires that organizations handling traded products — products manufactured off-site but stored, sold, or distributed by the certified facility — maintain the same level of control, traceability, and recall readiness as for in-house products. This includes documented procedures, supplier approval, traceability systems, and recall testing to ensure rapid and effective product withdrawal or recall when necessary.
BRCGS for Storage & Distribution requires that products moved via cross-docking are traceable and controlled at all times, even when they are not held in storage for extended periods.
Clause 4.3.1: “The company shall ensure that traceability is maintained at all stages, including during cross-docking operations.”
Clause 4.3.3: “Procedures shall be in place to ensure that all products handled, including those not stored on-site, remain under control and are not subject to contamination or substitution.”
Cross-docking operations must not compromise product traceability, safety, or integrity. Even with minimal handling and temporary presence, each product must be accurately identified, documented, and protected.
Audit Finding | Recommended Action |
---|---|
No recall procedure for traded products | Add traded products to recall SOP; define roles and communication |
Traceability only tracked internally | Include supplier and distribution-level tracking in trace system |
Suppliers not properly vetted | Perform documented supplier approval and ongoing verification |
Mock recalls exclude traded products | Integrate traded SKUs into annual recall testing |
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