Agenda

Timings are in BST (London)

  1. MODULE 6 - FCM Regulations in China and migration testing

    This module will look at Chinese regulations that directly impact FCMs and food contact articles. In China national standards are prefixed GB. Before taking a deep dive into the regulations, the webinar will look at how China, under the general safety standard GB 4806.1-2016 defines FCMs. 

    This will be followed by an update of the food contact material regulations for 2023, which will introduce each of the standards published/updated this year, plastic, rubber, printing ink, multilayer, metal. The details of 2023 update of the General Principles for Migration Tests of FCMs (GB 31604.1) will also be introduced.

    In addition, examples of food contact substances, including resins and additives, that have been approved by the Chinese authorities in 2023 will be presented.

    During this module, you will learn about:

    • which Chinese standards apply to the FCMs you are interested in, including plastic resins, plastic articles,rubber, adhesive, printing ink, ceramic, glass, paper, paperboard, bamboo and wood, multilayer, paints and coatings (or films);
    • which food contact additives have already been approved in China by the country's National Health Commission (NHC);
    • what the restrictions are for certain key-listed food contact additives or FCM-substances with respect to their specific migration limits (SMLs);
    • how to carry out a worst-case calculation (WCC) in cases of missing experimental or theoretical (modelling) migration data;
    • what migration testing conditions are to be applied, with case study examples;
    • what the analytical challenges are during the identification of non-intentionally added substances (Nias) that migrate into food under intended conditions of use;
    • what the key steps are when considering the risk assessment of FCM-substances migrating into food;
    • what petition steps need to be taken to get a new food contact additive listed in China;
    • how to demonstrate compliance with food contact applications in the above-mentioned markets. 
    Ms Liu Hui, MSc Ms Liu Hui, MSc
    Regulatory Affairs Manager, Food Contact Materials, knoell Shanghai, China
  2. Q&A Session

  3. Finish

  4. MODULE 7 - Declaration of Compliance (DoC) and Good Manufacturing Practice (GMP) for FCM

    This session will look at the content, template format and regulatory compliance requirements for a declaration of compliance / conformity (DoC) that must be used to support and demonstrate the compliance of FCMs and articles intended to be placed on the market for food contact applications.

    Examples of different DoCs will be provided followed by comments and remarks on each of the provided examples, function of different geographical markets.

    This module will look at good manufacturing practice (GMP) regulations and the corresponding requirements that directly impact FCMs. EU GMP Regulation (EC) No 2023/2006 on FCMs, the US 21 CFR § 174.5 requirements and the Chinese GMP Standard GB 31603-2015 on FCMs will be discussed. GMP regulations for FCMs in Switzerland, Canada, Mercosur and Japan will also be detailed.

    A number of key guidance documents, prepared by specific trade industry associations in the EU, will be presented and discussed in detail. Additionally, critical aspects of GMP requirements will be highlighted during the training, especially when considering the position of a stakeholder in the supply chain (for example whether they be a manufacturer of an intermediate or a final FCM).

    During this module, you will learn about:

    • which countries/regions, in the above-mentioned markets, require industry to provide a DoC for FCMs and articles;
    • which type of FCM and articles require a DoC, function of the market of interest;
    • what exactly the content of a DoC is, the function of the market of interest;
    • what things should not be mentioned in a DoC;
    • when to claim confidentiality (that is to say confidential business information, CBI) in a DoC;
    • what information must be provided in a DoC, function of its position in the supply chain;
    • which additional documents are required to support a DoC;
    • when and exactly what information should be provided, the function of the market, upon an external audit carried out at your facility by a national inspector; and,
    • what the penalties are that a company could face where a DoC and its supporting documentation are incomplete and are therefore considered not compliant.
    • which of the GMP Regulations and requirements are applicable to all industry sectors and all stages of manufacture, processing and distribution of FCMs in markets such as the EU, Switzerland, the US, Canada, China, Mercosur countries and Japan
    • what steps need to be considered for implementing a quality assurance system and quality policies for FCMs
    • how to implement a hygiene policy, where applicable
    • what the steps are with respect to documentation, labelling, document retention and traceability of FCMs
    • how to address the key aspects of the FCM production process, including raw material specifications, contamination prevention, management of change, storage packaging, warehousing and transportation
    • how to carry out quality control and check for specifications for FCMs
    • how to outsource work under GMP, for FCM
    • how to handle a compliance complaint, a product recall and an incident management, for FCMs and
    • how to perform regular internal and supplier (external) audits for FCMs.
    Tina Robertson Tina Robertson
    Senior Regulatory Affairs Manager, Food Contact Materials, knoell USA
    Chiara Brandonisio, PhD Chiara Brandonisio, PhD
    Group Leader, Global Food & Food Contact Materials (FFCM) Division, knoell, the Netherlands
  5. Q&A Session

  6. Finish