Skip navigation
U.S. flag

An official website of the United States government

Here’s how you know

Dot gov

The .gov means it’s official.
Federal government websites often end in .gov or .mil. Before sharing sensitive information, make sure you’re on a federal government site.

Https

The site is secure.
The https:// ensures that you are connecting to the official website and that any information you provide is encrypted and transmitted securely.

  • Food Safety
    • Recalls & Public Health Alerts
      • Report a Problem with Food
        • Additional Recalls
      • Annual Recall Summaries
        • Summary of Recall Cases in Calendar Year 2012
        • Summary of Recall Cases in Calendar Year 2013
        • Summary of Recall Cases in Calendar Year 2014
        • Summary of Recall Cases in Calendar Year 2015
        • Summary of Recall Cases in Calendar Year 2016
        • Summary of Recall Cases in Calendar Year 2017
        • Summary of Recall Cases in Calendar Year 2018
        • Summary of Recall Cases in Calendar Year 2019
        • Summary of Recall Cases in Calendar Year 2020
        • Summary of Recall Cases in Calendar Year 2021
        • Summary of Recall and PHA Cases in Calendar Year 2022
    • Food Safety Stats
      • Consumer Research
    • Foodborne Illness and Disease
      • Illnesses and Pathogens
        • Campylobacter
          • Campylobacter En Español
        • Clostridium botulinum
        • Escherichia coli O157:H7
        • Parasites and Foodborne Illness
        • Salmonella Questions and Answers
      • Resources for Public Health Partners
        • State Departments of Public Health
      • Outbreaks
        • Outbreak Investigations: Prevention
        • Outbreak Investigations: Response
    • Safe Food Handling and Preparation
      • Food Safety Basics
        • Additives in Meat and Poultry Products
        • Appliance Thermometers
        • Asar a la parrilla y seguridad alimentaria
        • Cleanliness Helps Prevent Foodborne Illness
        • Cooking for Groups
        • Cooking with Microwave Ovens
        • Cutting Boards
        • Deep Fat Frying
        • Doneness Versus Safety
        • Food Allergies
        • Glossary of Packaging Terms
        • Grilling Food Safely
        • Grilling and Food Safety
        • High Altitude Cooking
        • How Temperatures Affect Food
        • How to Find the USDA Establishment Number
        • Importing Meat, Poultry & Egg Products US
        • Inspection for Food Safety: The Basics
        • Irradiation and Food Safety FAQ
        • Keeping "Bag" Lunches Safe
        • Keeping Food Safe During an Emergency
        • Kitchen Thermometers
        • Mail Order Food Safety
        • Meat and Poultry Labeling Terms
        • Meat and Poultry Packaging Materials
        • Natural Flavors on Meat and Poultry Labels
        • Safe Handling of Take-Out Foods
        • Slaughter Inspection 101
        • Slow Cookers and Food Safety
        • Smoking Meat and Poultry
        • Tailgating Food Safety Q & A
        • Understanding FSIS Food Recalls
        • Water in Meat & Poultry
        • Danger Zone 40F - 140F
        • Food Product Dating
        • Freezing and Food Safety
        • Leftovers and Food Safety
        • Molds on Food: Are They Dangerous?
          • Hongos en los Alimentos: ¿Son Peligrosos?
        • Refrigeration
        • Safe Temperature Chart
        • Shelf-Stable Food
        • Steps to Keep Food Safe
        • The Big Thaw — Safe Defrosting Methods
        • The Color of Meat and Poultry
        • Washing Food: Does it Promote Food Safety?
        • Food Safety While Hiking, Camping & Boating
        • Seguridad Alimentaria Durante Caminatas, Campamentos y Paseos en Bote
      • Meat
        • Bacon and Food Safety
        • Bagre de la Granja a la Mesa
        • Beef From Farm To Table
        • Bison from Farm to Table
        • Carne de res ablandada mecánicamente
        • Catfish from Farm to Table
        • Color of Cooked Ground Beef as It Relates to Doneness
        • Corned Beef
        • Door-to-Door Meat Sales
        • Fresh Pork from Farm to Table
        • Goat from Farm to Table
        • Ground Beef and Food Safety
        • Hams and Food Safety
        • Hot Dogs & Food Safety
        • Jerky
        • Lamb From Farm to Table
        • Mechanically Tenderized Beef
        • Rabbit From Farm to Table
        • Roasting Those "Other" Holiday Meats
        • Sausages and Food Safety
        • Veal from Farm to Table
        • Yersiniosis and Chitterlings Tips
      • Poultry
        • Chicken From Farm to Table
        • Chicken Liver
        • Duck and Goose from Farm to Table
        • Hock Locks and Other Accoutrements
        • Is Pink Turkey Meat Safe?
        • Let's Talk Turkey Roasting
        • Poultry Processing: Questions & Answers
        • Poultry: Basting, Brining, and Marinating
        • Stuffing and Food Safety
        • The Poultry Label Says "Fresh"
        • Turduckens Require Safe Food Handling
        • Turkey Basics: Handling Cooked Dinners
        • Turkey Basics: Safe Cooking
        • Turkey Basics: Safe Thawing
        • Turkey Basics: Stuffing
        • Turkey from Farm to Table
        • Turkey: Alternate Routes to the Table
      • Eggs
        • Egg Products and Food Safety
        • Shell Eggs from Farm to Table
      • Emergencies
        • A Consumer's Guide to Food Safety: Severe Storms and Hurricanes
        • Fires and Food Safety
        • Keep Your Food Safe During Emergencies
        • Removing Odors from Refrigerators and Freezers
      • USDA Meat and Poultry Hotline
      • Brochures & Publications
    • Food Defense and Emergency Response
      • Emergency Response
      • Continuity of Operations (COOP)
      • Food Defense
        • Risk Mitigation Tool
        • Food Defense Considerations for Transportation of FSIS-Regulated Products
        • Food Defense Tools, Resources and Training
        • Functional Food Defense Plans
        • International Food Defense
  • Science & Data
    • Research Priorities
    • Data Sets & Visualizations
      • Microbiology
        • Baseline Microbiology Data Reports
        • Microbiological Testing Program for RTE Meat and Poultry Products
          • Tables & Results Microbiological Testing Program for RTE Meat
          • Tables & Results: Microbiological Testing Program Pasteurized Egg Products
          • Aggregate Salmonella Categorization of Raw Chicken Parts, NRTE Comminuted Poultry, Young Chicken Carcass and Young Turkey Carcass Establishments Using Moving Windows
          • Salmonella Initiative Program Criteria
            • Quarterly Sampling Reports on Antimicrobial Resistance
            • Quarterly Sampling Reports on Raw Beef Products
            • Quarterly Sampling Reports on Ready-to-eat Products and Egg Products
            • Quarterly Sampling Reports on Salmonella
            • Salmonella Action Plan: A One and Two Year Update
            • Salmonella Categorization of Individual Establishments for Poultry Products
        • Microbiological Testing Program for Escherichia coli O157:H7 and non-O157 Shiga toxin-producing Escherichia coli (STEC)
          • Year-to-Date Totals: Testing of Raw Ground Beef Component (RGBC) Samples for E. coli O157:H7 and non-O157 Shiga toxin-producing E. coli (STEC)
          • Annual Report for STEC in Raw Ground Beef or Veal and Raw Ground Beef or Veal Components
          • Individual E. coli Positive Results for Raw Ground Beef (RGB) and RGB Components 2017
          • Individual E. coli Positive Results for Raw Ground Beef (RGB) and RGB Components 2018
          • Individual E. coli Positive Results for Raw Ground Beef (RGB) and RGB Components 2016
          • Individual E. coli Positive Results for Raw Ground Beef (RGB) and RGB Components 2015
          • Year-to-Date 2018 Totals: Results of Raw Ground Beef Component (RGBC) Samples for E. coli O157:H7 and non-O157 Shiga toxin-producing E. coli (STEC):
        • National Antimicrobial Resistance Monitoring System (NARMS)
        • Salmonella Verification Testing Program Monthly Posting
      • Chemical Residues and Contaminants
      • Humane Handling Data
      • Laboratory Sampling Data
        • Egg Product Testing, Years 1995-2017
      • Inspection Task Data
    • Scientific Reports
      • Public Health Regulations (PHR)
        • FSIS Data Analysis and Reporting: Public Health Regulations FY 2022
        • FSIS Data Analysis and Reporting: Public Health Regulations FY 2021
        • FSIS Data Analysis and Reporting: Public Health Regulations FY 2016
        • FSIS Data Analysis and Reporting: Public Health Regulations FY 2017
        • FSIS Data Analysis and Reporting: Public Health Regulations FY 2018
        • FSIS Data Analysis and Reporting: Public Health Regulations FY 2019
        • FSIS Data Analysis and Reporting: Public Health Regulations FY 2020
        • FSIS Data Analysis and Reporting: Public Health Regulations FY 2023
      • Interagency Food Safety Analytics Collaboration (IFSAC)
    • Laboratories & Procedures
      • Accredited Laboratory Program
        • Key Facts: ISO Accreditation
      • FSIS Laboratories
        • Requesting Bacterial Isolates from FSIS
    • Risk Assessments
    • Sampling Program
      • Raw Pork Products Exploratory Sampling Program
      • Sampling Results for FSIS Regulated Products
    • Journal Publications
  • Policy
    • Food Safety Acts
      • Federal Meat Inspection Act
      • Poultry Products Inspection Act
      • Egg Products Inspection Act
      • Humane Methods of Slaughter Act
    • FSIS Guidelines
    • Directives & Notices
      • FSIS Notices
      • FSIS Directives
    • Petitions
    • Federal Register & Rulemaking
      • Federal Register Notices
      • Federal Register Rules
      • Executive Orders, Small Business Protection Laws & Other Guidance
      • Regulatory Priorities
    • Advisory Committees
      • National Advisory Committee on Meat and Poultry Inspection (NACMPI)
      • National Advisory Committee on Microbiological Criteria For Foods (NACMCF)
        • 2021-2023 National Advisory Committee on Microbiological Criteria For Foods (NACMCF)
        • NACMCF 2022 Subcommittee
        • 2018-2020 National Advisory Committee on Microbiological Criteria For Foods (NACMCF)
  • Inspection
    • Inspection Programs
      • Inspection of Meat Products
        • Humane Handling Ombudsman
        • Modernization of Swine Slaughter Inspection
      • Inspection of Poultry Products
        • Reducing Salmonella in Poultry
          • Pilot Projects: Salmonella Control Strategies
          • Proposed Regulatory Framework to Reduce Salmonella Illnesses Attributable to Poultry
            • Component 1
            • Component 2
            • Component 3
          • Salmonella By the Numbers
          • Salmonella KPI
          • Salmonella Risk Assessments
        • Modernization of Poultry Slaughter Inspection
      • Inspection of Egg Products
      • Inspection of Siluriformes
    • Compliance Guidance
      • Significant Guidance
      • HACCP
        • HACCP-Based-Inspection Models Project
          • New Poultry Inspection System (NPIS)
          • HIMP Redesign Achievement of Performance Standards Young Chicken Plants
          • List of HIMP Participating Plants
        • HACCP Validation
      • PHIS
        • PHIS: Historical Information
      • Retail Guidance
      • Small & Very Small Plant Guidance
        • Appealing Inspection Decisions
        • Food Safety Resources for Small and Very Small Plant Outreach: Order Form
        • Small Plant Help Desk
        • Small Plant Help Desk Form
      • Microbial Risk
        • Listeria Monocytogenes
        • Salmonella
        • Shiga Toxin-Producing E.Coli (STEC) and E. Coli O157:H7
        • Specified Risk Material
          • BSE Rules Being Strictly Enforced
        • Guidance for Controlling Listeria monocytogenes (Lm) in Retail Delicatessens - Best Practice Tips for Deli Operators
      • Specified Risk Material Resources
      • Food Safety Assessments Tools
      • Recall Process
      • Sanitation Performance Standards Compliance Guide
      • Labeling
        • Basics of Labeling
        • Claims Guidance
        • Nonfood Compounds
          • Compounds Used for Construction and Repair in Federally Inspected Meat and Poultry Plants
          • Criteria Used by the Former Compounds and Packaging Branch for Evaluating Nonfood Compounds and Proprietary Substances
        • Ingredients Guidance
        • Label Submission and Approval System (LSAS)
          • Integration of Paper Label Applications into the Label Submission and Approval System (LSAS)
        • Labeling Policies
          • Human Food Made with Cultured Animal Cells
          • Regulations for Package Dating
          • Comprehensive List of Reasons for Label Modifications and Returns
        • Labeling Procedures
          • Information Required For Requesting a Temporary Approval
          • 10 Most Common Mistakes And How to Avoid Them
          • Label Submission Checklist
          • Labeling Situations That Can Not Have a Temporary Approval
          • Labeling and Establishment Responsibilities
          • Ten Most Commonly Asked Labeling Questions
          • Trans Fat Declarations in the Nutrition Facts Panel on Product Labeling
      • New Technology
        • Cooperative Agreements FY 2003
        • Cooperative Agreements FY 2004
        • Cooperative Agreements FY 2005
        • Food Safety Technologies FY 2003
        • Food Safety Technologies FY 2004
        • Food Safety Technologies FY 2005
        • NOL for Non-O157 STEC Test Methods
        • New Technology Information Table
      • Humane Handling
    • Import & Export
      • Import & Export Library
        • Eligible Foreign Establishments
        • U.S. Establishments by Country
          • Australia Eligible Establishments
          • Brazil Export Eligible Establishments
          • Egypt Export Eligible Establishments
          • Gibraltar Export Eligible Establishments
          • Israel Export Eligible Establishments
          • Japan (Casings) Export Eligible Establishments
          • Japan (Cold Storage Facilities) Export Eligible Establishments
          • Mexico Export Eligible Establishments
          • Russia (Beef) Export Eligible Establishments
          • Russia (Pork) Export Eligible Establishments
          • Russia (Poultry) Export Eligible Establishments
          • Russia (Prepared Products) Export Eligible Establishments
          • South Africa Eligible Establishments
      • Import Guidance
        • FSIS Import Procedures for Meat, Poultry & Egg Products
        • FSIS Import Reinspection
        • Sourcing Egg Products and Shell Eggs From Foreign Countries
      • Export Guidance
      • Equivalence
      • PHIS Components
      • International Reports
        • Foreign Audit Reports
        • Import and Export Data
    • Regulatory Enforcement
      • Humane Handling Enforcement
      • Quarterly Enforcement Reports
        • Quarterly Enforcement Reports (Narrative, Archived v1)
        • Quarterly Enforcement Reports (Narrative, Archived v2)
        • Quarterly Enforcement Reports (Narrative, Archived v3)
        • Quarterly Enforcement Reports (Narrative, Archived v4)
      • FSIS Policies on Regulatory Decisions
    • Inspection Training & Videos
      • Inspection & Mission Training
      • Meat, Poultry and Egg Product Inspection Videos
      • Regulatory Education Video Seminars
    • Apply for Grant of Inspection
      • Grants & Financial Options
    • State Inspection Programs
      • Cooperative Interstate Shipping Program
        • Cooperative Interstate Shipment (CIS) Establishments
      • Guidance Documents for State and Local Agencies
      • States With and Without Inspection Programs
      • Reviews of State Programs
    • Establishments
      • FSIS Inspected Establishments
      • Meat, Poultry and Egg Product Inspection Directory
    • Inspection Forms
  • About FSIS
    • History
    • Leadership & Organizational Structure
    • Strategic Planning
      • FSIS Enterprise Governance Decision Making Process
    • Core Values
    • Food Safety & Agency Partners
      • Memoranda of Understanding (MOU)
    • Freedom of Information Act (FOIA)
      • FSIS Adjudications
      • FSIS FOIA Reading Room
      • Frequently Requested Records
      • Making a Freedom of Information Act (FOIA) Request
    • Federal Employee Viewpoint Survey (FEVS)
  • Contact Us
    • FSIS Offices
      • Office for Food Safety (OFS)
      • Office of the Administrator (OA)
      • Office of Field Operations (OFO)
      • Office of Investigation, Enforcement, and Audit (OIEA)
      • Office of Public Health Science (OPHS)
      • Office of Policy and Program Development (OPPD)
      • Office of the Chief Financial Officer (OCFO)
      • Office of International Coordination (OIC)
      • Office of Employee Experience and Development (OEED)
      • Office of the Chief Information Officer (OCIO)
      • Office of Management (OM)
      • Office of Public Affairs and Consumer Education (OPACE)
      • Internal Affairs (IA)
      • Office of Planning Analysis Risk Management (OPARM)
      • Civil Rights Staff
    • FSIS Department Emails
    • State Contacts
    • askFSIS
      • Having Trouble with the Webform
    • Pregúntele a Karen
  • Careers
    • Apply for a Job
    • Job Opportunities
    • Who Works for Us
      • Dr. Summer Addo — an Unexpected Career Path
      • Dr. Jeanetta Tankson Shares Her Passion for Science and Food Safety
      • Micheall Myrie - Visual Information Specialist and AAFE Award Winner
      • DDM Jeffery Jacobsen Ensures Meat is Safe and Cooks it, Too!
      • CSI Sherri Rodriguez: Thankful for FSIS and Friends
      • Stephen Whatley Celebrates 50 Years of Federal Service
      • Stevie Hretz Enjoys Putting “Humans First!”
      • Archives
    • Career Profiles
      • Administrative Positions
      • Compliance Investigator Positions
      • Consumer Safety Inspector
      • Food Inspector
      • Professional Positions
      • Public Health Veterinarian (PHV)
      • Scientific Positions
    • Incentives
      • Federal Employee Benefits Summary
    • Employment Programs
    • Food Inspector Apprenticeship Programs
    • Professionals with Disabilities
  • News & Events
    • Events & Meetings
      • Officials' Calendar of Meetings
      • Food Safety Education Month
    • News & Press Releases
      • News Feeds & Subscriptions
    • Publications
    • Branding & Toolkits
  • Employees
    • HR Policies & Systems
      • Forms
      • Performance Management
      • Understanding Your Benefits
        • Emergency Backup Dependent Care (EBDC) Program
    • FSIS Safety
      • COVID-19 Pandemic Resources
        • Information about Face Coverings/Masks and Face Shields
      • Workplace Violence
    • Onboarding
      • New Hire Training
    • Agency Awards & Achievements
    • Professional Development Opportunities
      • OFO Workforce Investment Initiative Pilot Program
    • Employee News & Stories
      • FSIS Snapshots
        • March 2023 Snapshots
        • February 2023 Snapshots
        • January 2023 Snapshots
        • December 2022 Snapshots
        • September 2022 Snapshots
        • August 2022 Snapshots
        • November 2022 Snapshots
        • July 2022 Snapshots
        • October 2022 Snapshots
        • June 2022 Snapshots
        • May 2022 Snapshots
        • April 2022 Snapshots
        • March 2022 Snapshots
        • February 2022 Snapshots
        • January 2022 Snapshots
        • December 2021 Snapshots
        • November 2021 Snapshots
        • October 2021 Snapshots
        • September 2021 Snapshots
        • August 2021 Snapshots
        • July 2021 Snapshots
        • June 2021 Snapshots
      • Submit Your Stories
      • Black History Month — Resistance Through Agricultural Innovations
      • Tiffanie Newman: Versatility at FSIS and in Daily Life
      • Meet Pickle-Eating Champ, CSI Joe Smith
      • Supervisors Make All the Difference!
      • Disability: Part of the Equity Equation
      • Archives
        • ARCHIVE: National Preparedness Month - Cyber Security for Remote Work
        • ARCHIVE: National Preparedness Month: Occupant Emergency Planning
        • ARCHIVE: Message from Leadership — Women’s Equality Day
        • ARCHIVE: Managing Heat Risk in Hot Weather
        • ARCHIVE: New Netflix Show Features USDA and FSIS
        • ARCHIVE: Asian American, Native Hawaiian and Pacific Islander Heritage Month — Advancing Leaders Through Collaboration
        • ARCHIVE: Thank You for Your Public Service
        • ARCHIVE: World Veterinary Day — Recognizing the Resilience of FSIS Veterinarians
        • ARCHIVE: Two Hero Inspectors Provide Potentially Life-Saving CPR to a Plant Employee
        • ARCHIVE: Hero Inspector Saves a Life While on the Road
        • ARCHIVE: Administrative Professionals Day — Thank You
        • ARCHIVE: Chief Information Security Officer Marvin Lykes Recognized for Operational Excellence
        • ARCHIVE: Women’s History Month: Women Providing Healing, Promoting Hope
        • ARCHIVE: Alameda District Awards Petaluma Circuit Inspectors Recognition Coins
        • ARCHIVE: Collaborating in the Caribbean — Bringing Awareness About African Swine Fever
        • ARCHIVE: Message from Leadership — Be an Advocate for Public Health
        • ARCHIVE: Message from Leadership — Honoring Dr. Martin Luther King Jr.
        • ARCHIVE: In Their Own Words: The 2021 Administrator’s Awards for Excellence Winners Speak Out
        • ARCHIVE: CSI Koffi Hoenou – From Togolese Teacher to U.S. Citizen
        • ARCHIVE: Dearborn, Mich., Circuit Inspectors Receive Collaborative Coins
        • ARCHIVE: Don’t Invite Foodborne Illness to the Party
        • ARCHIVE: Inspection for Ritual Meat and Poultry Slaughter
        • ARCHIVE: Thanksgiving Message from Leadership
        • ARCHIVE: Make a Difference for You and Your Colleagues – Respond to FEVS by Dec. 3
        • ARCHIVE: American Indian/Alaskan Native Heritage Month — Together Towards Tomorrow
        • ARCHIVE: Federal State Audit Staff Twice Honored for Supporting Military Staff
        • ARCHIVE: Veterans Day Messages from FSIS Leadership
        • ARCHIVE: Food Inspector Apprenticeship Programs for Veterans
        • ARCHIVE: Disability Employment Awareness Month — America’s Recovery: Powered by Inclusion
        • ARCHIVE: Helping Today’s Inspectors Be Tomorrow’s Leaders with Tuition Reimbursement
        • ARCHIVE: Dr. Geraldine Vidal-Covas Embraces Her Hispanic Heritage, Encourages All
        • ARCHIVE: National Preparedness Month – Home Go Kits & Pets
        • ARCHIVE: Mask Requirements Updated for FSIS Employees
        • ARCHIVE: Modernizing Egg Inspection
        • ARCHIVE: FSIS Recognized Twice for 2020 Food Safety Education Efforts
        • ARCHIVE: Four Steps to Good Mental Health
        • ARCHIVE: Building Relationships at Work
        • ARCHIVE: Pride Month and USDA’s Commitment to Inclusion
        • ARCHIVE: Honoring the Dedicated Public Servants of FSIS
        • ARCHIVE: Asian American and Pacific Islander Contributions to Our Nation’s History
        • ARCHIVE: USDA Vaccination Heroes Do Their Part for America
        • ARCHIVE: Remembering Their Sacrifice: Jean Hillery, Tom Quadros and Bill Shaline
    • Facilities and Services
    • Employee Bargaining
    • Civil Rights

Food Safety and Inspection Service

  • About FSIS
  • Contact Us
  • Careers
  • News & Events
  • Employees
  • Food Safety
  • Science & Data
  • Policy
  • Inspection
  • Recalls
  • Search
  • Full Menu
ALERT: Elkhorn Valley Packing Recalls Boneless… See more details
Page Hero
  • Inspection
    • Inspection Programs
      • Inspection of Meat Products
      • Inspection of Poultry Products
      • Inspection of Egg Products
      • Inspection of Siluriformes
    • Compliance Guidance
      • Significant Guidance
      • HACCP
      • PHIS
      • Retail Guidance
      • Small & Very Small Plant Guidance
      • Microbial Risk
      • Specified Risk Material Resources
      • Food Safety Assessments Tools
      • Recall Process
      • Sanitation Performance Standards Compliance Guide
      • Labeling
      • New Technology
      • Humane Handling
    • Import & Export
      • Import & Export Library
      • Import Guidance
      • Export Guidance
      • Equivalence
      • PHIS Components
      • International Reports
    • Regulatory Enforcement
      • Humane Handling Enforcement
      • Quarterly Enforcement Reports
      • FSIS Policies on Regulatory Decisions
    • Inspection Training & Videos
      • Inspection & Mission Training
      • Meat, Poultry and Egg Product Inspection Videos
      • Regulatory Education Video Seminars
    • Apply for Grant of Inspection
      • Grants & Financial Options
    • State Inspection Programs
      • Cooperative Interstate Shipping Program
      • Guidance Documents for State and Local Agencies
      • States With and Without Inspection Programs
      • Reviews of State Programs
    • Establishments
      • FSIS Inspected Establishments
      • Meat, Poultry and Egg Product Inspection Directory
    • Inspection Forms
Subscribe for Updates
Ask FSIS

askFSIS

Find answers to questions on inspection-related policies, programs, systems, and procedures.
Find An Answer
State Inspection

State Inspection

Apply for Federal or State inspection. States operate under a cooperative agreement with FSIS.
Find Nearest Office
Document in circle icon

Participate in Creating Standards

FSIS invites the food safety community to participate in establishing standards for our food safety policies and services. Join us for public meetings or respond to comment requests.
Learn More

Industry Questions and Answers Regarding NPIS

Question:  In a turkey facility currently with NTIS, birds are presented in a 3 point configuration. A plant employee has presented a question concerning orientation of the bird to the inspector for the carcass inspector when a plant switches to NPIS. Does it matter if the bird is presented with the breasts or the back towards the inspector?

Response:  Yes it does.  The NPIS final rule, in 9 CFR 381.76(b)(6)(iii)(C), specifies that the back side of the carcass must be faced toward the inspector. 

Question:  The question and answer guide for poultry slaughter modernization states that turkey facilities’ line speeds will be able to be increased from 51 to 55 bpm. Does that line speed apply to all sizes of birds and opening type? Line speed is currently based on bird size and types of cuts for the opening and the number of FSIS inspectors per line.  Could you explain how and if any of that relates to NPIS?

Response: Yes, if a plant operates under NPIS, the line speed of 55 bpm applies to all sizes of turkeys and opening types.  If a plant continues under NTIS, it will follow the line speed under the NTIS regulations. 

Question: Will USDA FSIS be mandating the pre-chill sample location?

Response:  Pre-chill sampling means any location from re-hang to just prior to the chiller.  

Question: Will the sampling frequency/number be determined based on the number of evisceration lines, kill lines, or chillers maintained within an establishment?

Response:  No. Sampling frequency is based on annual production volume. 

Question: Will the establishments be required to collect and test a sample from both pre-chill as well as post chill?

Response:  Except for very small or very low volume establishments operating under traditional inspection, all poultry slaughter establishments (other than those that slaughter ratites) must collect and analyze a pair of samples, one at pre-chill and one at post-chill.  Very low volume and very small establishments operating under traditional inspection are required to test at post chill only.

Question: Will the establishments be required to collect and test samples at the same frequency prescribed within the generic E. coli criteria (1/22,000 birds)? 

Response:  Except for very low volume establishments, poultry slaughter establishments (other than those that slaughter ratites) must collect and test samples at the following frequency:  Chickens:  once per 22,000 carcasses, but at a minimum of once during each week of operation; Turkeys, ducks, geese, guineas, and squabs:  once per 3,000 carcasses but at a minimum of once during each week of operation.  If an establishment is very low volume (VLV), then the establishment must collect and analyze samples at least once during each week of operation starting June 1 of every year (381.65(g)(2)(ii)).

Question: What are the expectations and timelines for HIMP plants with respect to the modernization rule so that all current waivers are maintained?

Response:  As stated in the preamble to the final rule,  all young chicken and turkey slaughter establishments will initially have until February 23, 2015 to notify their District Office in writing of their intent to operate under the NPIS (79 FR 49566 and 49593). Establishments that do not notify their District office of their intent by February 23, 2015, will be deemed to have chosen the inspection system that they are currently operating under. Therefore, the 20 young chicken and 5 turkey establishments participating in the HIMP pilot should notify their District Office (DO) in writing of their intent to transition to NPIS, and when they would like to start NPIS before the end of the 6 month opt in period (i.e. February 23, 2015). If the HIMP establishments do not notify their DO that they do not intend to opt out, the Agency will assume that they intend to operate under NPIS. 

When the HIMP young chicken plants notify FSIS of their intent to transition to the NPIS, they should also submit a request to have their SIP letter revised to obtain a line speed waiver of 9 CFR 381.69(a) to run speeds of up to 175 bpm according to procedures in the SIP program (76 FR 41186, 7/13/11).  FSIS will update the SIP Letters documenting the waiver to also remove aspects of HIMP that are inconsistent with the NPIS.  Turkey HIMP establishments can continue to operate under their current SIP letter until they start operating under NPIS at which time the waiver is terminated.  

Question: Will current HIMP establishments have to amend their SIP waivers?  Is this something the establishment will need to do or something the Agency will address?  

Response: As stated in the previous response, all young chicken and turkey slaughter establishments will initially have until February 23, 2015 to notify their District Office in writing of their intent to operate under the NPIS (79 FR 49566 and 49593). Young chicken HIMP establishments should notify their District Office (DO) in writing of their intent, and when they will be ready to transition to NPIS by February 23, 2015.   At the same time, those establishments can request to have their SIP letter revised to obtain a line speed waiver of 9 CFR 381.69(a) to run speeds of up to 175 bpm. FSIS will update the SIP Letters documenting the waiver to also remove aspects of HIMP that are inconsistent with the NPIS in accordance with to procedures in the SIP program . Turkey establishments should also notify their DO of their decision to operate under NPIS and will continue to operate HIMP alternative procedures until they start operating under NPIS.

Question: Can the Agency please provide details on what is expected from large non-HIMP establishments on October 20th and November 19th?  And, if different, can the Agency please provide details on what must be completed by current HIMP establishments on October 20th and November 19th?

Response:  On October 20, 2014, the regulations that prescribe new requirements for online/offline reprocessing and chilling went into effect, and the generic E. coli regulations for all poultry except for ratites were rescinded. Therefore,  all waivers for online/offline reprocessing and alternative chilling procedures ended on October 20, 2014, and all plants that use these technologies, including HIMP plants, must now comply with the new regulatory requirements.  Under the new regulations, establishments’ chilling procedures or off-line reprocessing procedures have to be addressed in their HACCP plans, or sanitation SOPs, or other prerequisite program.

On November 19, 2014, all large establishments (whether HIMP or not) are required to meet the new regulations requiring that they maintain programs to prevent fecal and enteric pathogen contamination throughout the slaughter operations.  These programs need to include testing for microbial organisms. 

Question: Part 381-Poultry Products Inspection Regulations become effective on October 20, 2014 with the exception of 381.65-Operations and procedures, which becomes effective November 19, 2014.  Is my understanding correct?

Response: Yes.  But November 19th is only for large establishments. 

Question: Current HIMP establishments who want to maintain their 175 bpm line speed waiver are expected to express their interest in opting into NPIS in writing to their District Offices on or before February 23, 2015.  Is this correct?

Response: Yes. 

Question: Can current HIMP establishments opt into NPIS after February 23, 2015?

Response:  If a HIMP establishment does not notify its DO of its decision to operate under NPIS before February 23, 2015, FSIS will assume that the establishment will operate under NPIS. The DO will contact those HIMP establishments to confirm that the establishments will operate under NPIS.

Question: It is our understanding that SIP will still be in effect for HIMP plants including sampling frequencies and reporting responsibilities.  Is this correct?

Response: Until HIMP establishments are operating under NPIS, HIMP establishments will continue to operate under a SIP waiver and to collect and submit SIP data.

Once they are operating under NPIS, turkey establishments will not be under a HIMP waiver and will not need to collect and submit SIP data for that waiver.

Even once they are under NPIS, young chicken HIMP establishments that are granted a line speed waiver will continue to collect and submit SIP data.   

Establishments may use SIP microbial data as part of their sampling plan to monitor their process control as required by 9 CFR 381.65(g) and (h), provided minimum frequencies and locations for testing are met.

Question: For HIMP plants, does the safety attestation have to be included with the waiver request? When is that information required?

Response:  All establishments operating under NPIS must comply with the safety attestation requirement.  However, the revised SIP letter will indicate that the former HIMP establishment operating under NPIS with a line speed waiver will be subject to the safety attestation requirement.

Question: Is safety attestation required by establishments not opting into NPIS?  

Response: Safety attestation is not required by establishments that do not operate under NPIS. 

Question/Comment: The industry is concerned about the future of various waivers.  Regarding SIP, there are other waivers beyond time/temperature and OLR that the industry relies on.  We hope those waivers do not go away.  

Response:  OLR and chilling time temperature waivers are no longer necessary because the rule provides for flexibility to use alternative procedures. 

All FPS waivers will be terminated by operation of the final rule.  The purpose of the waivers was to gather the information on how non-food safety defects should be handled.  The Agency’s decision on this matter, to go the ready-to-cook standard in NPIS, was based on the information obtained under these waivers. Therefore, the reason for granting the waiver has been fulfilled. 

The effect of the termination of the waiver will depend on what an establishment elects to do on February 23, 2015 (the opt-in date). Establishments that are currently operating under FPS waivers and that would like to continue to use their alterative FPS procedures will need to convert to the NPIS. 

Establishments that notify FSIS of their intent to operate under NPIS, may continue to operate under the waiver from FPS requirements until they start operating under NPIS. If establishments choose to operate under SIS, NELS, or NTIS inspection systems (which require complying with FPS), their FPS waiver ends on February 23, 2015. FSIS will give 30 days written notice of the termination of that waiver. Otherwise, establishments will need to submit a request for a new waiver from FPS requirements under SIS, NELS or NTIS with information on how the waiver would provide new information that would facilitate definite improvements (9 CFR 381.3(b)). FSIS expects that it will be difficult for establishments to meet requirements necessary to obtain a waiver now that NPIS is available. FSIS will issue additional guidance on FPS waivers.

Question: Regarding pre-chill sampling, can the establishment determine the pre-chill location of its choosing or does the Agency have a suggested sampling location in mind?

Response: The establishment can determine the location that best supports its sampling plan.  Pre-chill means any location from rehang to before the chiller. 

Question: Who is answering questions submitted to askNPIS?

Response: We have a Triage group and other SMEs working on the copious questions coming into the askNPIS mailbox.

Question: If an establishment opts into NPIS and at some point determines the system is not working for it; can they convert back to the previous inspection system?

Response: Although we do not expect this situation to occur, an establishment would follow the same procedures that have been in place on switching from one system to another working with their DO.

Question: In determining the program we use to monitor and ensure RTC poultry is produced, will establishments be allowed to collect and monitor finished parts, past post-chill (accumulated to make a full carcass, i.e., breast, tenders, wings, thighs, drums)?

Response:  Under NPIS, establishments are required to maintain records to document that their products meet the RTC definition (9 CFR 381.76(b)(1)(iv).  Establishments have flexibility to develop the necessary process to meet these requirements.  As long as they support that their product is RTC, they can monitor finished parts. 

Question: Will the VI follow the plant’s frequency of monitoring for RTC poultry, or will they default to the current verification of 2x/line/shift?  

Response: FSIS intends for the VI to verify that establishments meet the ready to cook requirements by records review.  FSIS intends to routinely schedule this review in PHIS once in 30 working days. The PHV/IIC can schedule a directed RTC task and review the establishment’s program for monitoring its products to ensure they meet the RTC definition as needed.

Question: Regarding sampling frequency, is the one sample per 22,000 birds for total birds slaughtered in a plant or for each evisceration line?  If it is for total birds slaughtered at a plant, should the plant rotate through each evisceration line (provided they have more than one) for their pre-chill sample? 

Response: The sampling frequency of once per 22,000 refers to total birds slaughtered.  Note that establishments are required to collect a pair of samples, one at pre-chill and one at post-chill.  As noted in the preamble to the final rule, FSIS is prescribing “a minimum frequency with which establishments will be required to collect a pair of samples, one at pre-chill and one at post-chill, or, for very small and very low volume establishments that operate under Traditional Inspection, a single post-chill sample” (79 FR 49604).

Question: On page 49614 in the Federal Register, the table appears to be very specific that HIMP plants must meet the 1) new facility requirements 2) new carcass inspections stations for each evisceration line, and 3) underline trough for each evisceration line.  Does this mean that current HIMP plants will need to retrofit to meet these specifications?  Can establishments get waivers to operate in their current configuration?

Response: If HIMP establishments have questions about whether they comply with NPIS facilities requirements, they should contact the DO.

Question: For current HIMP plants, it is my understanding that until an establishment submits a letter to the District Office expressing interest in opting into NPIS, that establishment will continue to operate as a HIMP plant with a SIP waiver. This would include continuing to use HIMP Draft 8 as our tool for OCP compliance. Is this correct?

Response: Poultry HIMP establishments can continue to operate under their current SIP letter that includes following HIMP draft 8 for young chickens (HIMP draft 4 for turkeys) until the establishment starts operating under NPIS.  If the establishment has not notified their District Office of their intent to operate under NPIS by February 23, 2015, FSIS will assume they intend to operate under NPIS. The DO will contact those HIMP establishments to confirm whether the establishment will operate under NPIS. 

Question: If a USDA inspector observes contamination during the process, is the overall system still supposed to be evaluated?  Are there going to be any numeric values associated with this observation or is this strictly a subjective observation and action? 

Response:  FSIS is not setting numeric values associated with the observation of visible contamination. FSIS will verify that establishments meet the requirements throughout the process and according to the establishment’s plan. FSIS will verify the effectiveness of an establishment’s process control procedures in preventing carcasses from becoming contaminated with enteric pathogens and fecal material by reviewing the establishment’s monitoring records, including the establishment’s microbial testing results, observing an establishment implementing its  procedures, and inspecting carcasses and parts for visible fecal contamination when conducting both online carcass inspection and offline verification inspection procedures (77 FR 4427 and 79 FR 49601).

Question: When will CI’s begin writing fecal NRs in current HIMP plants and for plants opting into NPIS?

Response: CIs will begin issuing NRs for visible fecal contamination after an establishment converts to the NPIS. Thus, CIs in current HIMP establishments will begin issuing NRs for visible fecal after the plant converts to the NPIS.

Question: What is the earliest date FSIS anticipates granting the opportunity for NPIS changeovers?   

Response: FSIS is targeting the timeframe of summer 2015 as the earliest time that the Agency will be able to convert establishments to operating under NPIS.

Question: How much preliminary notice will the establishment receive in scheduling a firm changeover date?  Establishments will need to plan production accordingly and may have some downtime in order to make the necessary engineering changes.  As a result, a floating date or a date without sufficient notice will not work very well. 

Response: The Agency plans to notify establishments of their placement in the schedule well in advance of implementing NPIS.

Question:  How will an establishment’s need for a changeover on a certain date be worked in connection with the selection rubric the FSIS has designed for determining the order of changeovers?

Response: The Agency is using a computerized process (rubric) to ensure fairness in the roll out process and make sure there is no specific advantage inadvertently given to one corporation over any other establishment converting. Once the rubric is run, the Agency will use considerable effort in the assessment of resources, coverage, establishment’s readiness, and other factors that will impact the order from the rubric along the process.

Question:  In planning for the changeover to NPIS, will the Agency provide the establishment guidance as to what information will need to be prepared in advance for FSIS?  For example, will the Agency want to review blueprints for stand placement and acceptability of stand design?  Will the Agency require evidence of sorter training? 

Response: The agency is not seeking to review blueprints or other similar materials. The process will be as it is now when a plant changes systems, such as changing to NuOva or Meyn Maestro automated high speed evisceration equipment lines.

Question: The requirement for a large establishment to perform a complete changeover (all lines, both shifts), rather than a transitional changeover (1 line at a time) requires special and elaborate planning. To encourage participation, is there any flexibility by the Agency for reconsideration of the requirement for complete, all-at-once, changeover?

Response: As noted in the preamble to the final rule, FSIS has decided not to give establishments the option to stagger implementation by line and shift (79 FR 49594-49495).  It would be too difficult for FSIS to perform its inspection activities at establishments that are operating different lines or shifts under the NPIS and one of the other inspection systems at the same time.  For Agency planning and resource purposes, if an establishment wants to convert to the NPIS, all of the establishment’s lines and shifts will be required to switch to the NPIS during the transition. However, if an establishment wants to make changes to its operation to prepare for conversion to the NPIS, FSIS will try and accommodate those changes as long as they do not affect FSIS inspection activities or procedures.

Question: How does NPIS affect no objection letters and OLR limits?  We have establishments looking at increasing OLR targets compliant with 7120.1 (which allows up to 2000ppm) but they are getting push back saying new technology has only approved up to this level (220ppm).

Response: Antimicrobials listed in FSIS Directive 7120.1, “Safe and Suitable Ingredients Used in The Production of Meat, Poultry, and Egg Products” are not approved OLR or OFLR antimicrobial intervention systems.

Question:  In a turkey facility currently with NTIS, birds are presented in a 3 point configuration. A plant employee has presented a question concerning orientation of the bird to the inspector for the carcass inspector when a plant switches to NPIS. Does it matter if the bird is presented with the breasts or the back towards the inspector?

Response:  Yes it does.  The NPIS final rule, in 9 CFR 381.76(b)(6)(iii)(C), specifies that the back side of the carcass must be faced toward the inspector. 

Question:  The question and answer guide for poultry slaughter modernization states that turkey facilities’ line speeds will be able to be increased from 51 to 55 bpm. Does that line speed apply to all sizes of birds and opening type? Line speed is currently based on bird size and types of cuts for the opening and the number of FSIS inspectors per line.  Could you explain how and if any of that relates to NPIS?

Response: Yes, if a plant operates under NPIS, the line speed of 55 bpm applies to all sizes of turkeys and opening types.  If a plant continues under NTIS, it will follow the line speed under the NTIS regulations. 

Question: Will USDA FSIS be mandating the pre-chill sample location?

Response:  Pre-chill sampling means any location from re-hang to just prior to the chiller.  

Question: Will the sampling frequency/number be determined based on the number of evisceration lines, kill lines, or chillers maintained within an establishment?

Response:  No. Sampling frequency is based on annual production volume. 

Question: Will the establishments be required to collect and test a sample from both pre-chill as well as post chill?

Response:  Except for very small or very low volume establishments operating under traditional inspection, all poultry slaughter establishments (other than those that slaughter ratites) must collect and analyze a pair of samples, one at pre-chill and one at post-chill.  Very low volume and very small establishments operating under traditional inspection are required to test at post chill only.

Question: Will the establishments be required to collect and test samples at the same frequency prescribed within the generic E. coli criteria (1/22,000 birds)? 

Response:  Except for very low volume establishments, poultry slaughter establishments (other than those that slaughter ratites) must collect and test samples at the following frequency:  Chickens:  once per 22,000 carcasses, but at a minimum of once during each week of operation; Turkeys, ducks, geese, guineas, and squabs:  once per 3,000 carcasses but at a minimum of once during each week of operation.  If an establishment is very low volume (VLV), then the establishment must collect and analyze samples at least once during each week of operation starting June 1 of every year (381.65(g)(2)(ii)).

Question: What are the expectations and timelines for HIMP plants with respect to the modernization rule so that all current waivers are maintained?

Response:  As stated in the preamble to the final rule,  all young chicken and turkey slaughter establishments will initially have until February 23, 2015 to notify their District Office in writing of their intent to operate under the NPIS (79 FR 49566 and 49593). Establishments that do not notify their District office of their intent by February 23, 2015, will be deemed to have chosen the inspection system that they are currently operating under. Therefore, the 20 young chicken and 5 turkey establishments participating in the HIMP pilot should notify their District Office (DO) in writing of their intent to transition to NPIS, and when they would like to start NPIS before the end of the 6 month opt in period (i.e. February 23, 2015). If the HIMP establishments do not notify their DO that they do not intend to opt out, the Agency will assume that they intend to operate under NPIS. 

When the HIMP young chicken plants notify FSIS of their intent to transition to the NPIS, they should also submit a request to have their SIP letter revised to obtain a line speed waiver of 9 CFR 381.69(a) to run speeds of up to 175 bpm according to procedures in the SIP program (76 FR 41186, 7/13/11).  FSIS will update the SIP Letters documenting the waiver to also remove aspects of HIMP that are inconsistent with the NPIS.  Turkey HIMP establishments can continue to operate under their current SIP letter until they start operating under NPIS at which time the waiver is terminated.  

Question: Will current HIMP establishments have to amend their SIP waivers?  Is this something the establishment will need to do or something the Agency will address?  

Response: As stated in the previous response, all young chicken and turkey slaughter establishments will initially have until February 23, 2015 to notify their District Office in writing of their intent to operate under the NPIS (79 FR 49566 and 49593). Young chicken HIMP establishments should notify their District Office (DO) in writing of their intent, and when they will be ready to transition to NPIS by February 23, 2015.   At the same time, those establishments can request to have their SIP letter revised to obtain a line speed waiver of 9 CFR 381.69(a) to run speeds of up to 175 bpm. FSIS will update the SIP Letters documenting the waiver to also remove aspects of HIMP that are inconsistent with the NPIS in accordance with to procedures in the SIP program . Turkey establishments should also notify their DO of their decision to operate under NPIS and will continue to operate HIMP alternative procedures until they start operating under NPIS.

Question: Can the Agency please provide details on what is expected from large non-HIMP establishments on October 20th and November 19th?  And, if different, can the Agency please provide details on what must be completed by current HIMP establishments on October 20th and November 19th?

Response:  On October 20, 2014, the regulations that prescribe new requirements for online/offline reprocessing and chilling went into effect, and the generic E. coli regulations for all poultry except for ratites were rescinded. Therefore,  all waivers for online/offline reprocessing and alternative chilling procedures ended on October 20, 2014, and all plants that use these technologies, including HIMP plants, must now comply with the new regulatory requirements.  Under the new regulations, establishments’ chilling procedures or off-line reprocessing procedures have to be addressed in their HACCP plans, or sanitation SOPs, or other prerequisite program.

On November 19, 2014, all large establishments (whether HIMP or not) are required to meet the new regulations requiring that they maintain programs to prevent fecal and enteric pathogen contamination throughout the slaughter operations.  These programs need to include testing for microbial organisms. 

Question: Part 381-Poultry Products Inspection Regulations become effective on October 20, 2014 with the exception of 381.65-Operations and procedures, which becomes effective November 19, 2014.  Is my understanding correct?

Response: Yes.  But November 19th is only for large establishments. 

Question: Current HIMP establishments who want to maintain their 175 bpm line speed waiver are expected to express their interest in opting into NPIS in writing to their District Offices on or before February 23, 2015.  Is this correct?

Response: Yes. 

Question: Can current HIMP establishments opt into NPIS after February 23, 2015?

Response:  If a HIMP establishment does not notify its DO of its decision to operate under NPIS before February 23, 2015, FSIS will assume that the establishment will operate under NPIS. The DO will contact those HIMP establishments to confirm that the establishments will operate under NPIS.

Question: It is our understanding that SIP will still be in effect for HIMP plants including sampling frequencies and reporting responsibilities.  Is this correct?

Response: Until HIMP establishments are operating under NPIS, HIMP establishments will continue to operate under a SIP waiver and to collect and submit SIP data.

Once they are operating under NPIS, turkey establishments will not be under a HIMP waiver and will not need to collect and submit SIP data for that waiver.

Even once they are under NPIS, young chicken HIMP establishments that are granted a line speed waiver will continue to collect and submit SIP data.   

Establishments may use SIP microbial data as part of their sampling plan to monitor their process control as required by 9 CFR 381.65(g) and (h), provided minimum frequencies and locations for testing are met.

Question: For HIMP plants, does the safety attestation have to be included with the waiver request? When is that information required?

Response:  All establishments operating under NPIS must comply with the safety attestation requirement.  However, the revised SIP letter will indicate that the former HIMP establishment operating under NPIS with a line speed waiver will be subject to the safety attestation requirement.

Question: Is safety attestation required by establishments not opting into NPIS?  

Response: Safety attestation is not required by establishments that do not operate under NPIS. 

Question/Comment: The industry is concerned about the future of various waivers.  Regarding SIP, there are other waivers beyond time/temperature and OLR that the industry relies on.  We hope those waivers do not go away.  

Response:  OLR and chilling time temperature waivers are no longer necessary because the rule provides for flexibility to use alternative procedures. 

All FPS waivers will be terminated by operation of the final rule.  The purpose of the waivers was to gather the information on how non-food safety defects should be handled.  The Agency’s decision on this matter, to go the ready-to-cook standard in NPIS, was based on the information obtained under these waivers. Therefore, the reason for granting the waiver has been fulfilled. 

The effect of the termination of the waiver will depend on what an establishment elects to do on February 23, 2015 (the opt-in date). Establishments that are currently operating under FPS waivers and that would like to continue to use their alterative FPS procedures will need to convert to the NPIS. 

Establishments that notify FSIS of their intent to operate under NPIS, may continue to operate under the waiver from FPS requirements until they start operating under NPIS. If establishments choose to operate under SIS, NELS, or NTIS inspection systems (which require complying with FPS), their FPS waiver ends on February 23, 2015. FSIS will give 30 days written notice of the termination of that waiver. Otherwise, establishments will need to submit a request for a new waiver from FPS requirements under SIS, NELS or NTIS with information on how the waiver would provide new information that would facilitate definite improvements (9 CFR 381.3(b)). FSIS expects that it will be difficult for establishments to meet requirements necessary to obtain a waiver now that NPIS is available. FSIS will issue additional guidance on FPS waivers.

Question: Regarding pre-chill sampling, can the establishment determine the pre-chill location of its choosing or does the Agency have a suggested sampling location in mind?

Response: The establishment can determine the location that best supports its sampling plan.  Pre-chill means any location from rehang to before the chiller. 

Question: Who is answering questions submitted to askNPIS?

Response: We have a Triage group and other SMEs working on the copious questions coming into the askNPIS mailbox.

Question: If an establishment opts into NPIS and at some point determines the system is not working for it; can they convert back to the previous inspection system?

Response: Although we do not expect this situation to occur, an establishment would follow the same procedures that have been in place on switching from one system to another working with their DO.

Question: In determining the program we use to monitor and ensure RTC poultry is produced, will establishments be allowed to collect and monitor finished parts, past post-chill (accumulated to make a full carcass, i.e., breast, tenders, wings, thighs, drums)?

Response:  Under NPIS, establishments are required to maintain records to document that their products meet the RTC definition (9 CFR 381.76(b)(1)(iv).  Establishments have flexibility to develop the necessary process to meet these requirements.  As long as they support that their product is RTC, they can monitor finished parts. 

Question: Will the VI follow the plant’s frequency of monitoring for RTC poultry, or will they default to the current verification of 2x/line/shift?  

Response: FSIS intends for the VI to verify that establishments meet the ready to cook requirements by records review.  FSIS intends to routinely schedule this review in PHIS once in 30 working days. The PHV/IIC can schedule a directed RTC task and review the establishment’s program for monitoring its products to ensure they meet the RTC definition as needed.

Question: Regarding sampling frequency, is the one sample per 22,000 birds for total birds slaughtered in a plant or for each evisceration line?  If it is for total birds slaughtered at a plant, should the plant rotate through each evisceration line (provided they have more than one) for their pre-chill sample? 

Response: The sampling frequency of once per 22,000 refers to total birds slaughtered.  Note that establishments are required to collect a pair of samples, one at pre-chill and one at post-chill.  As noted in the preamble to the final rule, FSIS is prescribing “a minimum frequency with which establishments will be required to collect a pair of samples, one at pre-chill and one at post-chill, or, for very small and very low volume establishments that operate under Traditional Inspection, a single post-chill sample” (79 FR 49604).

Question: On page 49614 in the Federal Register, the table appears to be very specific that HIMP plants must meet the 1) new facility requirements 2) new carcass inspections stations for each evisceration line, and 3) underline trough for each evisceration line.  Does this mean that current HIMP plants will need to retrofit to meet these specifications?  Can establishments get waivers to operate in their current configuration?

Response: If HIMP establishments have questions about whether they comply with NPIS facilities requirements, they should contact the DO.

Question: For current HIMP plants, it is my understanding that until an establishment submits a letter to the District Office expressing interest in opting into NPIS, that establishment will continue to operate as a HIMP plant with a SIP waiver. This would include continuing to use HIMP Draft 8 as our tool for OCP compliance. Is this correct?

Response: Poultry HIMP establishments can continue to operate under their current SIP letter that includes following HIMP draft 8 for young chickens (HIMP draft 4 for turkeys) until the establishment starts operating under NPIS.  If the establishment has not notified their District Office of their intent to operate under NPIS by February 23, 2015, FSIS will assume they intend to operate under NPIS. The DO will contact those HIMP establishments to confirm whether the establishment will operate under NPIS. 

Question: If a USDA inspector observes contamination during the process, is the overall system still supposed to be evaluated?  Are there going to be any numeric values associated with this observation or is this strictly a subjective observation and action? 

Response:  FSIS is not setting numeric values associated with the observation of visible contamination. FSIS will verify that establishments meet the requirements throughout the process and according to the establishment’s plan. FSIS will verify the effectiveness of an establishment’s process control procedures in preventing carcasses from becoming contaminated with enteric pathogens and fecal material by reviewing the establishment’s monitoring records, including the establishment’s microbial testing results, observing an establishment implementing its  procedures, and inspecting carcasses and parts for visible fecal contamination when conducting both online carcass inspection and offline verification inspection procedures (77 FR 4427 and 79 FR 49601).

Question: When will CI’s begin writing fecal NRs in current HIMP plants and for plants opting into NPIS?

Response: CIs will begin issuing NRs for visible fecal contamination after an establishment converts to the NPIS. Thus, CIs in current HIMP establishments will begin issuing NRs for visible fecal after the plant converts to the NPIS.

Question: What is the earliest date FSIS anticipates granting the opportunity for NPIS changeovers?   

Response: FSIS is targeting the timeframe of summer 2015 as the earliest time that the Agency will be able to convert establishments to operating under NPIS.

Question: How much preliminary notice will the establishment receive in scheduling a firm changeover date?  Establishments will need to plan production accordingly and may have some downtime in order to make the necessary engineering changes.  As a result, a floating date or a date without sufficient notice will not work very well. 

Response: The Agency plans to notify establishments of their placement in the schedule well in advance of implementing NPIS.

Question:  How will an establishment’s need for a changeover on a certain date be worked in connection with the selection rubric the FSIS has designed for determining the order of changeovers?

Response: The Agency is using a computerized process (rubric) to ensure fairness in the roll out process and make sure there is no specific advantage inadvertently given to one corporation over any other establishment converting. Once the rubric is run, the Agency will use considerable effort in the assessment of resources, coverage, establishment’s readiness, and other factors that will impact the order from the rubric along the process.

Question:  In planning for the changeover to NPIS, will the Agency provide the establishment guidance as to what information will need to be prepared in advance for FSIS?  For example, will the Agency want to review blueprints for stand placement and acceptability of stand design?  Will the Agency require evidence of sorter training? 

Response: The agency is not seeking to review blueprints or other similar materials. The process will be as it is now when a plant changes systems, such as changing to NuOva or Meyn Maestro automated high speed evisceration equipment lines.

Question: The requirement for a large establishment to perform a complete changeover (all lines, both shifts), rather than a transitional changeover (1 line at a time) requires special and elaborate planning. To encourage participation, is there any flexibility by the Agency for reconsideration of the requirement for complete, all-at-once, changeover?

Response: As noted in the preamble to the final rule, FSIS has decided not to give establishments the option to stagger implementation by line and shift (79 FR 49594-49495).  It would be too difficult for FSIS to perform its inspection activities at establishments that are operating different lines or shifts under the NPIS and one of the other inspection systems at the same time.  For Agency planning and resource purposes, if an establishment wants to convert to the NPIS, all of the establishment’s lines and shifts will be required to switch to the NPIS during the transition. However, if an establishment wants to make changes to its operation to prepare for conversion to the NPIS, FSIS will try and accommodate those changes as long as they do not affect FSIS inspection activities or procedures.

Question: How does NPIS affect no objection letters and OLR limits?  We have establishments looking at increasing OLR targets compliant with 7120.1 (which allows up to 2000ppm) but they are getting push back saying new technology has only approved up to this level (220ppm).

Response: Antimicrobials listed in FSIS Directive 7120.1, “Safe and Suitable Ingredients Used in The Production of Meat, Poultry, and Egg Products” are not approved OLR or OFLR antimicrobial intervention systems.

 

Featured Resources

Import inspector at work

Quarterly Enforcement Reports

Review the enforcement actions FSIS has taken to ensure that consumers have access to safe, wholesome and properly labeled products.
Learn More
A measurement tool.

Food Safety Assessments Tools

An important toolbox for identifying potential risks in the food production process and to document food safety assessments (FSAs) methodically.
Learn More
FSIS Poultry Inspecto

Apply for Grant of Inspection

The steps and requirements for obtaining a Federal grant of inspection.
Learn More
Last Updated: Jul 01, 2020
  • USDA.gov
  • USA.gov
  • Whitehouse.gov
  • About Us
  • Our Performance
  • Information Quality & Publishing Schedule
  • Visit OIG
  • FOIA
  • Accessibility Statement
  • Privacy Policy
  • Non-Discrimination Statement
  • Plain Writing
  • No FEAR
  • Significant Guidance

Food Safety and Inspection Service

  • Pinterest
  • Twitter
  • Facebook
  • GovDelivery
  • Instagram
  • Flickr
  • YouTube
  • Linked In
  • RSS
.

Start your search

Popular Topics

Recalls Import & Export FSIS Directives FSIS Guidelines Petitions