Food safety and quality remain of utmost importance to the food industry. From prioritizing traceability and visibility within your supply chain, to having a proper food recall plan in place, to staying up to date with the latest regulations for compliance, it is imperative for food companies to take a proactive approach to create a safer global food supply chain for all.
Additionally, the recent passing of FSMA Section 204 sets documentation standards for businesses that pack, store, or otherwise handle “high-risk” foods on the FDA’s Food Traceability List (FTL). Starting in 2026, businesses will need to record having a traceability plan in place, among other records, in the event that the FDA conducts an investigation, recall, or audit. (Your traceability plan is separate from a food recall plan or a food safety plan – it’s easy to see how this can get confusing, right?)
While companies take these preventative measures to avoid an FDA inspection or audit, there is still a possibility that the FDA will step in to conduct an audit in the event of non-compliance. If that’s the case, here are some of the things you can expect from an FDA audit in the New Era of Food Safety.
Inspections – or audits – are conducted to ensure compliance with FDA laws and regulations. There are various types of FDA audits:
If the FDA is responding to a non-compliance or food quality issue, they may visit your facility to conduct a for-cause inspection. During this audit, an investigator comes to your facility for a formal inspection to ensure your business is following good manufacturing practices, properly documenting processes and records, and keeping equipment and facilities in good condition, among other things.
Here are some of the aspects companies can expect during an FDA audit:
If an FDA inspector identifies any violations during the audit, they may issue a Form 483, which lists the violations and notifies company management of the objectionable conditions. Companies are given the opportunity to respond to the Form 483 in writing with a corrective action plan detailing how they will mitigate the violation and implement that corrective action plan as soon as possible.
If necessary, the inspector may conduct a follow-up inspection to verify issues have been resolved; if they have not been, a company can receive warning letters or fines, and even be required to issue a food product recall, which can cost your company significantly in time, expenses, and brand damage.
Preventative action toward food safety is at the core of FSMA, so it is key to ensure that you are prepared and organized for an FDA audit – whether you are expecting one or not. This includes having the necessary documents on hand, ensuring your employees are trained on food safety and regulations, and understanding the various components of an FDA inspection.
Here are three considerations when preparing for an FDA audit:
It is good practice to study warning letters issued to closely related businesses and address problem areas relevant to your business to best prepare for an FDA audit.
Beyond food safety, a failed FDA audit could greatly tarnish a brand’s image and negatively impact revenue. Lack of proper documentation and process controls are some of the major challenges encountered by food companies during an inspection. One core tenet of the FDA’s New Era for Smarter Food Safety is leveraging technology to create a safer food system, including responding more rapidly and efficiently to outbreaks to protect consumers.
Adopting the right technology can make it easier to manage food safety audits and ease regulatory compliance. A software solution can also help you more effectively perform mock audits, train staff members, and identify problem areas – all preventative efforts that can be taken to better prepare for or respond to an FDA audit. For more information on how FoodLogiQ can help your organization with FDA audits in the era of FSMA, contact our experts today.