CR1.0 – Acceptation requirements | 1. Scope of this document | | - Audit duration: 1 day equals 8 hours
|
2. Normative references | | - Listing of the documents that are mandatory to comply with
|
3. Principles | | - The principles must be applied for decisions that need to be made for unanticipated situations
|
4.3.1. Accreditation requirements | | |
4.3.2. Management of impartiality | | - There is a more robust set of requirements to manage the impartiality
|
4.3.3. Confidentiality | | - More detailed requirements regarding confidentiality
|
4.3.5. Structural requirements | | - More detailed requirements regarding organisational structure, top management and operational control
|
4.3.6.1. Competence of personnel | | - Inclusion of witness audits to comply with the audit experience requirements for the GMP+ auditor FSA and FRA
- Internal harmonisation requirement for the GMP+ auditor FSA and FRA of maximum time is reduced to 24 hours/year
|
4.3.7.1. Public information | | - Maintenance of public information about audit processes, handling requests for information, complaints, appeals and policy on impartiality
|
4.3.7.2. Information exchange between Certification Bodies and its Clients | | - List of information that must be provided to clients and also by clients
|
4.3.9. Procedures / Documents for GMP+ certification | | - Implementation date of new certification requirements is changed
|
5.2.3.2. Overall analysis | | - Obligation of sending the action/improvement plan on the request of GMP+ International
|
5.2.5. Report assessment | | - The Certification Body must provide the information immediately on request
|
Appendix 4: Procedure for the Acceptance and Assessment of Certification Bodies | - Annex 3: Procedure for the acceptance and assessment of certification bodies, GMP+ C10
| - The steps ‘assessment documentation’ and ‘acceptation audit’ are separate steps
|
Appendix 6: Assessment criteria | - Annex 1: Assessment criteria, GMP+ C11
| - The column of descriptions of nonconformities has been updated
|
CR2.0 – Assessment and Certification | - Scope of the document
| | - Country Notes are included under the scope of this document
|
- Normative reference
| | - Listing of the documents that are mandatory to comply with
|
4. Principles | | - The principles must be applied for decisions that need to be made for unanticipated situations
|
5.1.1 Application | | - New information must be provided by the applicant organisation to the Certification Body
|
5.1.2 Application review | | - A procedure for the application review is required
|
5.1.4 Audit programme | | - A procedure and specific topics for audit programme are required now
|
5.1.5 Audit team assignment | | - New conditions for auditors-in-training
- New audit role
|
5.1.6 Audit plan | | - An audit plan with minimum required information must be provided to the company and audit team
|
5.2.1.2 Opening meeting | | - An opening meeting with minimum required topics must be held
|
5.2.1.3 Initial certification audit | | - The initial audit must be conducted in two stages
- There are specific requirements for the Stage 1 and the Stage 2 audit
|
5.2.1.3.1 Temporary acceptance | | - The temporary acceptance must be conducted in two stages
- There are specific requirements for the Stage 1 and the Stage 2 audit
|
5.2.1.4 Surveillance audit | | - Not necessary full system audit (based on risk assessment)
- Mandatory topics to be assessed during the surveillance audits
- Whole system must be assessed throughout the certification cycle
|
5.2.1.4.1 Announced surveillance audits | | - New requirements regarding announced surveillance audits have been established
|
5.2.1.4.2 Unannounced surveillance audit | | - New requirements regarding unannounced surveillance audits have been established
|
5.2.1.5 Recertification audit | | - Requirements for recertification audit planning
- Specific topics to be assessed during the recertification audit
|
5.2.1.6 Expansion audit | | - Stage 1 and Stage 2 are required
|
5.2.2.2 Repeat audit | - §2.7, GMP+C6
- §2.5, GMP+C12
| - Physical and/or administrative checks and a sampling may be carried out.
|
5.2.4 Identifying and recording audit findings | - §2.9, C6
- Annex 4, C6
- §2.7, C12
| - There are new requirements regarding establishing, recording and communicating opportunities of improvement, conformity and nonconformity (identification, classification)
|
5.2.5 Closing meeting | | - A closing meeting with minimum topics must be held
|
5.2.6 Audit report | | - Extension of the deadline for uploading the audit findings/checklist, nonconformities and final assessment in the GMP+ database
- Extension of the deadline for sending the audit report/checklist to the applicant organisation/ GMP+ Certified company
- New information must be included in the audit report.
- For stage 1 audits, documented conclusions do not need to meet the full requirements of a report
|
5.2.7 Review | | - The Certification Body must have a process to conduct an effective review of all GMP+ audit reports/checklist
|
5.2.8 Certification decision | | - The individual(s) appointed to conduct the certification decision must have appropriate competence and employed by Certification Body or an entity under the organisational control of the Certification Body
- The Certification Body must record each certification decision to grant an initial certification, the audit team must provide specific minimum information
|
5.2.9.1 Certificates | | - In the event of issuing any revised certification documents, there must be a means to distinguish the revised documents from any prior obsolete documents
- Within 8 weeks following the execution of the audit on site, the Certification Body must send the certificate to the applicant organisation/GMP+ Certified Company
|
5.2.9.3 Certificate/temporary acceptance templates | | - The GMP+ FSA logo must be on the certificate
|
5.3 Suspension or withdrawal of a certificate/temporary acceptance | - §8.2.1 e), A1
- §2.11, C6
- §2.9, C12
| - The change on the deadline of informing GMP+ International and adapting in the GMP+ database is renewed
- Documented procedure(s) for suspension, withdrawal and reduction of the scope of certification
|
Appendix 1: Assessment criteria and sanctions for audits GMP+ FSA | | - The descriptions of nonconformities have been updated
- In case of less than 10 minor nonconformities, the maximum period to close is extended
|
Appendix 2: Frequency and Audit times | | - The minimum required audit time is modified.
- The audit time calculation is modified.
|
Appendix 4: Multi-site certification | | - The audit duration calculation and sampling of sub-locations are modified
|
Appendix 5: Announced surveillance audit – not at GMP+ Certified Company | | - Added requirements for announced surveillance audit– not at GMP+ Certified Company location for ‘paper trade’ within the scope of trade in feed
|
CR3.0 – Assessment and Certification for additional scopes | 1. Scope | | - FRA module, Inland waterway transport and short sea shipping of feed, and Laboratory testing and registered laboratories are described in the scope of this document
|
2. Normative reference(s) | | - Listing of the documents that are mandatory to comply with
|
4.1.1. Application | | - New information must be provided by the applicant organisation to the certification body
|
4.1.2. Application review | | - A procedure for the application review is required.
|
4.1.6. Audit plan | | - For FRA and Laboratory testing an audit plan must be sent to the company
|
4.2.1.1. General | | - For laboratory testing, there are specific requirements of on-site assessment depending on the scope(s) under ISO17025 accreditation
|
4.2.1.2. Initial certification audit/inspection | | - All analyses must be assessed during the certification cycle
|
4.2.1.3. Temporary acceptance | | - The temporary acceptance must be conducted in two stages
- There are specific requirements for the Stage 1 and the Stage 2 audit
|
4.2.1.6. Unannounced surveillance audits | | - If the FRA module is audited together with the FSA module the audit will be unannounced for all scopes
|
4.2.1.7. Recertification audit | | - Certification Body can decide to have Stage 1 and Stage 2 audits in order to extend the certificate/statement
|
4.2.1.8. Expansion audit | | - Application review
- Determining if any audit activity is necessary
- Possibility to conduct an expansion audit in conjunction with a surveillance/recertification audit
|
4.2.2.2. Repeat audit / Inspection | | - Physical and/or administrative checks and a sampling may be carried out
|
4.2.5. Audit report | | - Extension of the deadline for uploading the audit findings/checklist, nonconformities and final assessment in the GMP+ database
- Extension of the deadline for sending the audit report/checklist to the applicant organisation/ GMP+ Certified company
- There is new information that must be included in the audit report.
|
4.2.6. Review | | - The Certification Body must have a process to conduct an effective review of all GMP+ audit reports/inspection checklists
|
4.2.7. Certification decision | | - Three criteria for certification decision have been established
|
4.2.8.1. Certificates | | - The deadline of sending the certificate and statement to the applicant organisation/GMP+ Certified Company is renewed
|
4.2.8.3. Certificate / temporary Acceptance Templates | | - GMP+ FSA/FRA logo must be on the certificate/statement
|
4.3. Suspension or withdrawal of a certificate/Temporary acceptance | - §8.2.1 e), A1
- §2.11, C6
- ·§2.9, C12
| - The deadline of informing GMP+ International and adapting in the GMP+ database is renewed
- Documented procedure(s) for suspension, withdrawal and reduction of the scope of certificatio
|
Appendix 1: Frequency and Audits/ Inspection Duration | | - The minimum required audit duration is modified
- The audit duration calculation is modified
- Audit time reduction is not applicable for the FRA module, Laboratory testing, Registered laboratory, and Inland waterway transport and short sea shipping of feed
|
Appendix 2: FRA Multi-site certification | | - The audit duration calculation and sampling of sub-locations are modified
|