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Beef Quality Assurance

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Title: Beef Quality Assurance


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(No Transcript)
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Quality Assurance Programs (QA)
  • designed by
  • producers food industry affiliates
  • To Provide production management education
  • Targets defect prevention emphasis is SAFETY
  • Chemical, Physical Biological safety
    defects/hazards
  • Consumers Confidence in Quality Safety
  • QA Programs are NOT Government Programs

3
Quality Assurance Design meet the needs of
each type of production
  • BQA GMP designed as SOP for PH-HACCP must be in
    place to enroll in brand like programs
  • PQA Three levels (I, II, III) GPP at level
    three required to market.
  • DQA added to Pasteurized Milk Ordnance

4
Quality Assurance Objectives
  • Entry level gt Provides education training
  • Advanced level gt Verification documentation
  • needed for
  • USDA-FSIS standards
  • QA program requirements
  • Branded Product Initiatives To Provide
    Consumer Confidence ...

5
Quality Assurance Approach
  • incorporate into other management objectives and
    in everyone's job
  • allow it to grow in everyone's attitude
  • American Meat, Milk Eggs Are Quality
    Products

6
QA Is A Road Map To Food Safety HACCP
Build on what you know
  • Producers, Employees, Veterinarians,
    Nutritionist, Other Specialist, Suppliers
  • must take a close look at what could go wrong
  • Chemical, Physical Biological safety hazards
  • Build practices that allow checking verifying
  • Design all of the everyday working techniques to
    avoid having anything go wrong
  • Target Activities gt Justify, Verify, Monitor

7
HACCP In a nut shell
  • What could go wrong
  • How can it be prevented
  • Institute the prevention
  • Verify the prevention is in place
  • AND accomplishing the objective
  • In QA HACCP targets
  • Chemical, Physical Biological safety hazards

8
Hazard Analysis Critical Control Points
HACCP QA next step Pre-Harvest Considerations
9
Hazard Analysis,Critical Control Points (HACCP)
  • It is a system developed for space flight to
    prevent problems from happening.
  • If you can figure out what might go wrong, you
    can work toward finding ways to prevent the
    problem.
  • It included check points along the process.
    These allow you to know if process is working
    properly before you get to a finished product.
  • By definition, HACCP is a food pathogen reduction
    program ... presently not possible from farm
  • However working with HACCP now will provide us
    valuable experience with the procedures.

10
Why HACCP this 20 year old system has been
sold to the major US trading partners as the
standard for food processing (production?)
safety.
11
HACCP Five Preliminary Steps
  • Bring together your HACCP resources assemble
    the HACCP team.
  • Describe the product method of Distribution.
  • Identify the intended use consumers of the
    product.
  • Develop a process flow diagram ..
  • Verify the diagram
  • Meet the requirements for Sanitation SOPs Good
    Management/Production Practices (GMP/GPP)

12
Seven Specific HACCP Steps
  • Identify potential hazards B-C-P
  • Identify critical control points
  • Establish critical limits for CCPs
  • Establish CCP monitor procedure
  • Establish corrective actions
  • Establish record keeping procedure
  • Establish verification procedures

13
Secret to HACCP
Activity ? Outcome Target
14
PQA Ten GPP Guidelines(Good Production Practices)
  • Identify track all treated animals 
  • Maintain medication treatment records
  • Properly store, label account for
    drugs/additives
  • A valid VCPR required for prescription meds.
  • Educate all employees, etc on proper drug use
    WD
  • Use residue tests when appropriate
  • Establish an efficient effective HH Mgt Plan
  • Provide proper animal care
  • Follow appropriate feed processing procedures
  • QA checklist annually re-certify every 2yrs

15
QA GMP Guidelines(Good Management Practices)
  • Feedstuffs Sources
  • Feed Additives Medications
  • Individual Treatments
  • Health Products Injections
  • Mgnt Outliers (Performance/Transfers)
  • Evaluate History Residue Test As Indicated
  • Record Keeping
  • Care Husbandry Practices

16
Summary of BQA Guidelines
  • Feedstuffs and Sources
  • Pesticide/herbicide use records on pasture or
    crops
  • Quality control of feedstuffs / Test suspect
    feedstuffs
  • Ruminant-derived protein sources are banned
  • Feeding by-products must be supported with sound
    science.
  • Feed Additives and Medications
  • Only FDA approved medicated feed additives will
    be used.
  • FDA Good Manufacturing Practices (GMP) regs
    followed.
  • Follow Judicious Antibiotic Use Guidelines.
  • Extra-label use of feed additives is illegal
    strictly prohibited.
  • Withdrawal times strictly followed.
  • Records kept of formulated or medicated feed
    rations.
  • Records are to be kept a minimum of two years.

17
Summary of BQA Guidelines
  • Animal Health Products (Processing Treatment)
    Records
  • Following all FDA/USDA/EPA guidelines for
    product(s) utilized.
  • All products are to be used per label directions
    except Rx.
  • Extra-label drug use under a Valid VCPR.
  • Strict adherence to extended withdrawal periods
    (as per VCPR)
  • Treatment records will be maintained include
    the following
  • 1. Individual animal or group identification
  • 2. Date treated
  • 3. Product administrated and manufacture's
    lot/serial number
  • 4. Dosage used
  • 5. Route and location of administration
  • 6. Earliest date animal will have cleared
    withdrawal period.

18
Summary of BQA Guidelines
  • Check WD before shipping All Cattle (fed
    non-fed)
  • Transfer all processing treatment records
  • Select SQ products give in neck region.
  • Intra-muscular (IM) products used ONLY IN
    THE NECK REGION
  • No more than 10 cc of product is administered
    per IM injection site.
  • No exceptions, regardless of age.
  • Products with low dosage rates are recommended

19
Summary of BQA Guidelines
  • Care and Husbandry Practices
  • Follow the QA Herd Health Plan that conforms
    to GVHP.
  • Handled / transported minimize stress /or
    injury
  • Inspect facilities (fences, corrals, load-outs,
    etc.) regularly
  • Strive to keep feed and water handling equipment
    clean.
  • Provide appropriate nutritional and feedstuffs
    management.
  • Strive to maintain an environment appropriate to
    the production setting.
  • Evaluate Bio-security 1. Isolation 2. Traffic
    Control 3. Sanitation
  • Records should be kept for a minimum of 2years
  • Restricted Use Pesticide (RUP) kept for 3 years

20
Does QA Work? YES
  • We have information Do we have a story to tell
  • QA programs are in almost every state.
  • USDA-APHIS data tells us that over 95 of all US
    feedlot have a formal training program for
    quality assurance.
  • Swine has a similar acceptance of QA programs.
  • Programs include antibiotic selection use,
    residue avoidance and physical defect management

21
Does QA Work? YES
  • The USDA-FSIS says
  • Meat HAS NO RESIDUES TO BE CONCERNED ABOUT

22
Remember the Basics
  • QA will help control the little mistakes that
    decrease animal performance.
  • Its the little mistakes that cost us consumer
    confidence they buy what they trust.
  • There NO Most Valuable Players
  • QA is everyone's job.

23
In the world of food gt Consumers Purchase
  • BUY
  • WHAT
  • THEY
  • TRUST

24
Quality AssuranceOur Business - Our Future
25
USDA-FSIS Careers
  • http//www.fsis.usda.gov/Careers/veterinary_opport
    unities/index.asp

26
... get involved As Will Rogers put it ... "The
world is run by the people who show up"
27
SLIDES NOT USED gt
28
SLIDES NOT USED gt
29
A Little On Drug Use
  • Antibiotic Use Guidelines
  • AMDUCA
  • (Animal Medicinal Drug Use Clarification Act)
  • ELDU
  • (Extra Label Drug Use)

30
Rx Basic Information for Records (R),
Prescriptions (P), Labels (L)
  • Name, address, telephone number of
    veterinarians (RPL)
  • Name (L), address, telephone number of clients
    (RP)
  • Identification of animal(s) treated, species
    numbers of animals treated, when possible (RPL)
  • Date of treatment, prescribing, or dispensing of
    drug (RPL)
  • Name, active ingredient, quantity of the drug
    (or drug preparation) to be prescribed or
    dispensed (RPL)
  • Drug strength (if more than one strength
    available) (RPL)
  • Dosage duration
  • Route of administration (RPL)
  • Number of refills (RPL)
  • Any cautionary statements (RPL)
  • Expiration date if applicable (L)
  • Slaughter withdrawal /or milk withholding times,
    if applicable (RPL)
  • Signature or equivalent (P)

31
Producer Antibiotic Use Guidelines
  • Prevent Problems
  • Select and Use Antibiotics Carefully
  • Avoid Abs Important In Human Medicine As First
    Line Therapy
  • Use the Laboratory to Help You Select
    Antibiotics
  • Avoid Using Combinations of Antibiotics
  • Avoid Inappropriate Antibiotic Use
  • Treatment Programs Should Reflect Best Use
    Principles
  • Treat the Fewest Number of Animals Possible
  • Treat for the Recommended Time Period
  • Avoid Environmental Contamination with
    Antibiotics
  • Keep Records of Antibiotic Use
  • Follow Label Directions
  • Extralabel Antibiotic Use Must follow FDA
    Regulations
  • Subtherapeutic antibiotic use is discouraged

32
Extralabel Antibiotic UseMust follow FDA
Regulations
  • Prescriptions, including extra label use of
    medications must meet the AMDUCA (Animal
    Medicinal Drug Use Clarification Act) amendments
    to the Food, Drug, and Cosmetic Act and its
    regulations.
  • Meet FDA criteria for
  • ELDU (Extra Label Drug Use)
  • a valid VCPR (Veterinary Client Patient
    Relationship)

33
FDA criteria for ELDU
  • A careful diagnosis is made by an attending
    veterinarian within the context of a valid
    veterinarian-client-patient relationship. 
  • A determination is made that 1) there is no
    marketable drug specifically labeled to treat the
    condition diagnosed, or 2) treatment at the
    dosage recommended by the labeling was found
    clinically ineffective.
  • Procedures are instituted to assure that identity
    of the treated animal is carefully maintained.
  • A significantly extended period is assigned for
    drug withdrawal prior to marketing the treated
    animal and steps are taken to assure the assigned
    time frames are met so that no violative residue
    occurs. The Food Animal Residue Avoidance
    Databank (FARAD) can aid the veterinarian in
    making these estimates.

34
FDA criteria for VCPR
  • Veterinarian-Client-Patient Relationships Exist
    When
  • A.  The veterinarian has assumed the
    responsibility for making clinical judgments
    regarding the health of the animal and the need
    for medical treatment, and the client has agreed
    to follow the veterinarian's instructions.
  • B.  The veterinarian has sufficient knowledge of
    the animal to initiate at least a general or
    preliminary diagnosis of the medical condition of
    the animal. This means the veterinarian has
    recently seen and is personally acquainted with
    the keeping and care of the animal by virtue of
    an examination of the animal or the medically
    appropriate and timely visits to the premises
    where the animal is kept.
  • C.  The veterinarian is readily available for
    follow-up evaluation in the event of adverse
    reactions or failure of the treatment regimen.

35
Animal Medicinal Drug Use Clarification Act
(AMDUCA) Scope
  • Applies only to approved animal human
    drugs
  • Valid VCPR
  • Lay ELDU not allowed
  • Does not allow ELDU of feed additives
  • BY ANYONE !!!
  • ELDU of Water medications is OK.

AMDUCALG.doc
36
AMDUCA Scope
  • ELDU permitted only when animals health is
    threatened or animal is suffering.
  • Therapeutic only.
  • No ELDU allowed for production purposes
  • Implants reproductive etc

37
ELDU in Food Animals
  • No approved animal drug for such use with same
    ingredient, dosage form, concentration
  • VCPR
  • Extended withdrawal time to ensure no illegal
    residues occur
  • Ensure identity of animal
  • If an approved drug is shown to be ineffective,
    ELDU may be used

38
ELDU of Human Non-food Animal Drugs
  • Cant use human drug if there is an approved
    animal drug available
  • Scientific information on the human food safety
    aspect of the use of the drug can obtain this
    info from
  • FARAD or US Pharmacopeia

39
AMDUCA Labeling Requirements
  • Name and Address of Vet
  • Name of drug
  • Directions for use with animal ID
  • Cautionary Statements
  • Withdrawal time

40
AMDUCA Records
  • Identify the animals, either as individuals or a
    group.
  • Animal species treated.
  • Number of animals treated.
  • Condition being treated.
  • The established name of the drug and active
    ingredient(s).
  • Dosage prescribed or used.
  • Duration of treatment.
  • Specified withdrawal, withholding, or discard
    time(s), if applicable, for meat, milk, eggs or
    animal-derived food.
  • Keep records for a minimum of 2 years.
  • FDA may have access to these records to estimate
    risk to public health.

41
AMDUCA Records
  • Records access applies only when determined a
    particular use poses a risk to public health.
  • Information maintained in records
  • Identification of animals treated
  • name of drug and active ingredient
  • condition and species treated
  • dosage, duration number of animals treated
  • Withdrawal time

42
Prohibited Drugs
  • Chloramphenicol
  • Clenbuterol
  • Diethyl stilbesterol (DES)
  • Dimetridazole, Ipronidazole (All Nitroimidazoles)
  • Furazolidones, Nitrofurazone (All Nitrofurans)
  • Phenylbutazone (female dairy cattle gt20 months)
  • Sulfonamide drugs in lactating dairy cattle
    (except approved use of sulfadimethoxine,
    sulfabromomethazine, sulfaethoxypyridazine)
  • ELDU of Fluoroquinolones glycopeptides
  • Dipyrone
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