February 2, 2024
SOE: Supply Chain Audits
Leading up to the implementation of the Strengthening Organic Enforcement (SOE) Rule approaching on March 19, 2024, this article is in relation to the regulation change regarding: Supply Chain Audits.
Supply Chain Traceability Audits
This new regulation is under §205.501(a)(21) and allows for all accredited certifiers to conduct supply chain traceability audits. Supply Chain Traceability Audits are defined under §205.2 as the process of identifying and tracking the movement, sale, custody, handling, and organic status of an agricultural product along a supply chain to verify the agricultural product’s compliance.
Selection Criteria
We at PAO will be selecting operations based off of a risk assessment, and conduct these supply chain inspections throughout the year.
The selection criteria includes, but is not limited to the following:
-
Operators involved in investigations/ complaints
-
Operators that handle/produce high risk commodities, per the NOP’s criteria
-
Operators involved in residue detection cases
-
Operators chosen per the NOP’s request
-
Operators chosen per PAO’s request, based on investigation results
Please note: operators selected for these types of audits are those considered “higher risk”. PAO will select operators based on the criteria listed above.
Organic Supply Chain Audits may be conducted at an annual inspection, or may be independently scheduled at any time. They also may or may not be unannounced and may be utilized as a full inspection as per requirement §205.403.
Audit Criteria
If your operation is chosen, the following areas will be reviewed/conducted during the onsite inspection that include, but are not limited to:
-
Traceability system & exercise
-
Organic Fraud Prevention Program
-
Mass Balance exercise
-
Master Supply Chain & Product List and related supply chain documentation
-
Any previous non-compliances in relation to any of the above mentioned areas