BRC Storage and Distribution
BRC Storage and Distribution
BRC Storage and Distribution
STORAGE AND
DISTRIBUTION
ISSUE 3
GLOBAL STANDARD
STORAGE AND
DISTRIBUTION
Whilst the BRC has endeavoured to ensure that the information in this publication is accurate, it shall not be liable for
any damages (including without limitation damages for pure economic loss or loss of business or loss of profits or
depletion of goodwill or otherwise in each case, whether direct, indirect or consequential) or any claims for
consequential compensation whatsoever (howsoever caused) arising in contract, tort (including negligence or breach
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contained in it, or from any action or decision taken as a result of reading this publication or any such information.
All warranties, conditions and other terms implied by statute or common law are, to the fullest extent permitted by law, excluded.
Nothing excludes or limits the liability of the BRC for death or personal injury caused by its negligence, for fraud or fraudulent
misrepresentation or for any matter which it would be illegal for it to exclude or attempt to exclude liability for.
The Global Standard for Storage and Distribution Issue 3 and the terms of the disclaimer set out above shall be
construed in accordance with English law and shall be subject to the non-exclusive jurisdiction of the English Courts.
COPYRIGHT
© British Retail Consortium 2016
All rights reserved. No part of this publication may be transmitted or reproduced in any form (including photocopying
or storage in any medium by electronic means) without the written permission of the copyright owner. Application for
permission should be addressed to the Commercial Director of Global Standards at the British Retail Consortium
(contact details below). Full acknowledgement of the author and source must be given.
The contents of this publication cannot be reproduced for the purposes of training or any other commercial activity.
No part of this publication may be translated without the written permission of the copyright owner.
Warning: Any unauthorised act in relation to a copyright work may result in both a civil claim for damages
and criminal prosecution.
Email: [email protected]
Website: www.brcglobalstandards.com
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CONTENTS
PART I INTRODUCTION
PART II REQUIREMENTS
How the requirements are set out 9
Exclusion of requirements 9
1 Senior management commitment 10
2 Hazard and risk analysis 12
3 Quality management system 14
4 Site and building standards 19
5 Vehicle operating standards 22
6 Facility management 24
7 Good operating practices 27
8 Personnel 29
Wholesale module 30
9 Purchasing – branded products 30
10 Purchasing and management of wholesaler own-label products and wholesaler exclusive brands 31
Contracted services module 34
11 Contractual arrangements (all services) 34
12 Product inspection 35
13 Contract packing (repacking, assembly packing) 36
14 Quantity control inspection 37
15 Contract chilling/freezing/tempering/defrost and high-pressure process operations 38
16 Contract cleaning of baskets, roll cages and other distribution containers 39
17 Waste recovery and recycling 40
APPENDICES
Appendix 1 Other BRC Global Standards 76
Appendix 2 Registration, qualifications, training and experience requirements for auditors 77
Appendix 3 Certificate template 79
Appendix 4 Products included within the scope of the Standard 80
Appendix 5 Glossary of terms 81
Appendix 6 Acknowledgements 84
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HOW THIS PUBLICATION IS
ORGANISED
The Global Standard for Storage and Distribution sets out requirements that a site should adhere to in order to be able to
consistently store and distribute products to maintain their safety, quality and legality and meet customers’ requirements.
PART I
INTRODUCTION
Provides a background to the Standard and an overview of the scheme. It also defines the scope and the types of
products and operations which may be certificated against the Standard.
PART II
REQUIREMENTS
Details the requirements of the Standard with which a company and site must comply in order to gain certification.
PART III
AUDIT PROTOCOL
Provides information on the certification and auditing process, including how to select a certification body, the
post-audit requirements, and a description of the BRC Global Standards Directory.
PART IV
MANAGEMENT AND GOVERNANCE
Describes the management and governance systems in place for the Standard and certification body requirements.
APPENDICES
Appendices 1–6 provide additional useful information including details of other BRC Global Standards, competency
requirements for auditors, a certificate template, a list of products included within the scope of the Standard, a
glossary of terms, and a list of acknowledgements.
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PART I
INTRODUCTION
PRINCIPLES OF THE
STANDARD
Senior management commitment 3
A risk-based system 3
Quality management system and suitable
operating conditions 3
Benefits of using the Standard 3
THE CERTIFICATION
PROCESS
THE SCOPE OF THE
STANDARD
Scope of applicable company operations 4
Scope of applicable products 5
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PART I
INTRODUCTION
Welcome to Issue 3 of the Global Standard for Storage and Distribution (henceforward referred to as the Standard).
In 2006 the BRC introduced the Global Standard for Storage and Distribution to complement the suite of Global
Standards covering the production of food, packaging and consumer products. This Standard allows the chain of
product certification to be completed, from primary processor to manufacturer, and from manufacturer to retailer (or
food service company in the case of food).
Issue 3 of this Standard has been developed by a multi-stakeholder group including retailers, food service companies, industry
trade associations, independent experts and certification bodies, and builds upon the experience from the previous issue.
In revising the Standard we have attempted to develop the current requirements of the Standard to ensure that they are robust
enough to meet the current industry needs. Where applicable, requirements have been aligned with those that feature in the other
Global Standards published by the BRC to ensure consistency and confidence throughout the entire supply chain.
This Standard is designed to reflect best practice and facilitate a process of continuous improvement through well-
designed risk-based product safety management systems. The objective is to ensure that the quality and safety of
products are maintained during their storage and distribution and where subject to other activities such as contracted
services, and that customer confidence is upheld through audit and certification.
In many countries the storage and distribution of products, in particular food products, is controlled through
legislation. This Standard is based on best practice and is not intended to replace the requirement of any legislation
that requires a higher standard for a specific industry sector. In countries where the principles of due diligence
apply, certification to the Standard may provide part of a due diligence defence.
Certification to this Standard should give customers confidence in the site; however, the decision to use a particular
supplier rests with the individual customer.
GRADING SYSTEM
In previous issues of the Standard there was a simple pass/fail criterion as a way of encouraging companies to enter the
programme. However, now that the programme is more mature, it is appropriate to introduce a grading system to help companies
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demonstrate continual improvement. The grading system is consistent with those found in the Food Safety and
PART I INTRODUCTION
Packaging Standards; full details of the system can be found in Part III.
The starting point for effective implementation of the Standard is the commitment of senior management to the
development of an all-encompassing policy to guide the activities which collectively assure that products are stored
and distributed in a way that maintains their quality, safety and legality.
A RISK-BASED SYSTEM
The Standard requires an evaluation of the risks to the products during their handling, storage and distribution. The
hazard and risk analysis process defined in the Standard should enable potential risks to be identified and
controlled either through existing programmes such as pest control (prerequisite programmes) or by the introduction
of specific controls. An effective hazard and risk analysis provides the basis for the management system.
• The Standard is internationally recognised, providing a report and certification that can be accepted by customers
in place of their own audits – reducing time and cost.
• The comprehensive scope of the Standard, covering areas of quality, hygiene and product safety, provides a
benchmark for best practice in the storage and distribution industries.
• When effectively adopted, the Standard can reduce damage, waste and therefore costs to the business.
• The accredited audit provides greater credibility and recognition when certification is achieved.
• Certificated sites may appear on the BRC public directory allowing recognition of their achievements and the use
of a logo for marketing purposes.
• The Standard addresses part of the ‘due diligence’ requirements of both the certificated company and the
customers using its service.
• Ongoing surveillance and follow-up corrective actions after an audit help to ensure that a self-improving quality,
hygiene and product safety system is established.
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THE CERTIFICATION PROCESS
When a site believes that it meets the requirements specified in the Standard, it may choose to be audited and,
if successful, become a ‘certificated site’.
The audits and certificates are site-specific, so companies with a number of sites would need separate certification for
each site. The Standard is a process and product certification programme in which businesses are certificated upon
completion of a satisfactory audit by an auditor employed by an independent third party – the certification body.
In order for a business to receive a valid certificate on completion of a satisfactory audit, the organisation must select a
certification body approved by the BRC. The BRC lays down detailed requirements that a certification body must satisfy in order
to gain approval as well as specific requirements for auditors with regard to auditing expertise and product sector knowledge.
More information about the certification process and certification bodies is given in Parts III and IV. A list of certification
bodies approved by the BRC is available on the BRC Global Standards Directory website: www.brcdirectory.com
The Standard may be applied both where the company has legal title to the products and where legal title is held by a third party.
The storage and distribution operations to which the Standard may be applied can be at any point in the
distribution chain from primary production to retail, subject to the restrictions on the scope of products handled.
The distribution of products may be by road, rail, air freight or ship. It is envisaged, however, that transport other
than by road will usually involve the transportation of sealed (and, where necessary, environmentally controlled)
containers. The management of the distribution of the containers would be specified in contracts between the owner
of the container and shipper. The shipper in such cases would not be included within the scope of this Standard.
The Standard covers distribution at any point in the distribution network for applicable products. For example, this
could include distribution from:
• farm to processor
• primary processor to manufacturer
• manufacturer to off-site warehousing
• warehousing to retail depots
• retail depots to store
• store to final consumer (internet shopping).
N.B. Courier and postal distribution services are not included within the scope of this Standard.
It is common for companies involved in both storage and distribution to employ some subcontracted hauliers to
supplement their own fleet at periods of peak demand. The purpose of the Standard is to provide a certification
scheme that ensures the quality and safety of products during their storage and transportation. To be eligible for the
scheme, the company must be able to demonstrate that they directly manage and thereby control those aspects of
the Standard which are being assessed. The following situations will be acceptable for certification.
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Storage
PART I INTRODUCTION
Where the storage facilities are leased or subcontracted from a third party and all of the following apply:
• the labour and quality systems are directly managed by the certificated company
• the company is able to control the condition of the buildings (e.g. ensure upkeep of the fabric)
• the company is able to control building services to ensure that they remain within the requirements of the
Standard (e.g. provision of pest control).
Distribution
Eligibility to the scheme is permitted where:
• the vehicles used are leased by the company and the servicing and repairs are under the management control of the company
• the distribution vehicles and labour are provided by a third party under contract but the company can demonstrate
that the management of the vehicles and labour is under its direct control. Note that this differs from a
subcontracting arrangement where a third party provides the service under contract (e.g. vehicles and labour),
but the direct management of the service is controlled by the subcontractor.
Where the eligibility of a company is unclear because of unusual circumstances, this should be checked with the
BRC Global Standards team before progressing to audit.
Transport
Certification audits which include distribution within the scope would be expected to include all the applicable
distribution requirements listed in the Standard. It is accepted, however, that for some distribution contracts the
loading and unloading of vehicles are outside the control of the distribution company. In such circumstances,
certificates may be issued with the limited scope wording ‘Transport only’.
• storage facilities under the direct control of a production site’s management (such facilities may be included within the
applicable manufacturing standards – e.g. the Global Standards for Food Safety, Packaging or Consumer Products)
• operations where any form of process is undertaken on open food products (such facilities shall be audited to
the Global Standard for Food Safety)
• operations where consumer product items that are not in themselves packaged for consumer sale are assembled to
produce the final consumer product (such facilities shall be audited using the Global Standard for Consumer Products).
Food
Food products include:
In all such cases the product shall be received into storage and released into distribution without any further
preparation, sorting or processing. Where such additional operations do take place the facility shall be certificated
using the BRC Global Standard for Food Safety.
A permitted exception to this rule is where the main activity of the site is storage/distribution and this includes a small amount of
order picking from trays of fruit and vegetables to smaller quantities to fulfil customer orders (e.g. for food service customers).
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Exclusions
Exclusions from the food products include:
• live animals (except crustaceans prepared for placing on the market for human consumption)
• pre-farm-gate loose bulk agricultural products
• unprocessed bulk agricultural products.
Packaging materials
These include pre-packed and bulk packaging materials for later conversion for food and non-food use.
Where any conversion or other operations which change the nature of the incoming packaging materials are
undertaken, the facility shall be audited against the BRC Global Standard for Packaging and Packaging Materials.
Consumer products
These include products covered by the scope of the EU General Product Safety Directive 2001/95 to be sold by
retail or similar products supplied to the food service industry.
The Standard applies only to packaged products. ‘Packaged’ in the context of consumer products is intended to
include packaged individual items, bound or shrink-wrapped palletised materials, and items packed in bulk bags as
used, for instance, for building materials.
Exclusions
Exclusions from consumer products include:
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PART II
REQUIREMENTS
1 SENIOR MANAGEMENT
COMMITMENT
1.1 Seniormanagementcommitmentand
continual improvement 10
1.2 Organisationalstructure,responsibility
and management authority 11
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4 SITE AND BUILDING 10 PURCHASING AND
STANDARDS MANAGEMENT OF
4.1 Location,perimeterandgrounds 19 WHOLESALER OWN-
4.2 Sitesecurity
– product intake, handling, storage and
19 LABEL PRODUCTS
AND WHOLESALER
4.3 Layout,productflowandsegregation
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PART II
PART II REQUIREMENTS
REQUIREMENTS
Below this statement of intent the requirements are set out in a tabular format, which specify the criteria against which
the audit will be carried out.
The requirements in sections 1–8 shall be applied to all operations. Where companies undertake wholesaling or
contracted services, the requirements for these activities (sections 9–17) shall be included in addition to the
requirements outlined in sections 1–8.
EXCLUSION OF REQUIREMENTS
NON-APPLICABLE CLAUSES
The majority of the requirements of the Standard will apply to both storage and distribution operations and all requirements
of the Standard shall be reviewed for applicability, even where the company operates only storage or only distribution.
Distribution companies should be aware that some ‘storage’ requirements become applicable wherever a distributor temporarily
removes product from one vehicle and transfers it to another (e.g. during trans-shipment or consolidation of loads).
Wherever a storage facility subcontracts the distribution of the products, the contract and checks of vehicles may
include some or all of the vehicle-specific requirements.
There are, however, some clauses which apply specifically to distribution operations and some which are specific to storage
facilities that are not applicable to the site being audited. Where both storage and distribution are not included within the scope of
the site’s activities, these specific requirements may be excluded and will be marked as not applicable (N/A) in the final audit report.
The auditor will assess and decide on the applicability of any clauses which the site believes are not applicable.
It is anticipated that most clauses will be applicable to all operations; however, some clauses may not be applicable,
and these are signified by the following codes:
X not applicable to the products handled (e.g. clauses concerning temperature controls)
XS not applicable to companies operating only storage
XD not applicable to companies operating only distribution
XR not applicable on the basis of risk.
RISK-BASED EXCLUSIONS
The requirements have been written to reflect requirements of the highest product risk categories (e.g. chilled foods) and some
may not be appropriate when lower-risk non-food items are stored or distributed. On the basis of risk, some requirements may be
excluded; however, in each case a documented risk assessment must be provided for the auditor to evaluate.
The final audit report will include comments on any clauses deemed not applicable or excluded on the basis of risk.
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1 SENIOR MANAGEMENT COMMITMENT
1.1 SENIOR MANAGEMENT COMMITMENT AND CONTINUAL IMPROVEMENT
The company’s senior management shall demonstrate that they are fully committed to the implementation of the
requirements of the Global Standard for Storage and Distribution. This shall include provision of adequate resources,
effective communication, systems of review and actions taken to identify and effect opportunities for improvement.
CLAUSE REQUIREMENTS
1.1.1 The company’s senior management shall develop and document a quality policy statement
which states the company’s intentions for the safe and legal storage and/or distribution of
products and its responsibility to its customers. This statement shall be:
• authorised
• reviewed
• signed and dated by an appropriate senior manager
• communicated throughout the company.
1.1.2 The company’s senior management shall provide the human and financial resources
required to implement the requirements of this Standard and effect improvements identified
through management review processes.
1.1.3 The company’s senior management shall ensure that objectives are established for the
storage and/or distribution of products to maintain product safety, quality and legality in
accordance with the quality policy and this Standard. The objectives shall be documented,
measurable, monitored, reviewed and clearly communicated to each operating location.
1.1.4 Management review meetings attended by the company’s or site’s senior management shall be
carried out at least annually to ensure that the stated objectives are being met and are appropriate.
Management review shall cover all relevant locations, be documented and include an evaluation of:
1.1.5 The management review meeting decisions and actions agreed shall be effectively
communicated to appropriate staff and the actions implemented within the agreed timescales.
Records should be updated to show when actions have been completed.
1.1.6 There shall be clear communication and reporting channels to senior management for staff responsible
for monitoring compliance with the Standard. This shall include suggestions for improvement.
1.1.7 The company shall have a current, original hard copy or electronic version of the Standard
available and be aware of any changes to the Standard or protocol that are published on the
BRC Global Standards website.
1.1.8 The most senior operations manager on site shall attend the opening and closing meetings of
the audit for the Global Standard for Storage and Distribution. Where central management
systems are operated for multi-site operations, a manager with responsibility for the
management system shall be available during audits of hub and satellite operations.
1.1.9 Where required by legislation, the company and operating locations shall be registered with (or
X approved by) the appropriate authority, and evidence of this shall be available.
1.1.10 Where the site is certificated to the Standard, it shall ensure that announced recertification
audits occur on or before the audit due date indicated on the certificate.
1.1.11 The site’s senior management shall ensure that the root causes of any non-conformities against the
Standard identified at the previous audit have been effectively addressed to prevent recurrence.
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1.2 ORGANISATIONAL STRUCTURE, RESPONSIBILITY AND MANAGEMENT
PART II REQUIREMENTS
AUTHORITY
The company shall have an organisational structure that clearly ensures the definition and documentation of the job
functions, responsibilities and reporting relationships of staff whose activities affect product safety, legality and quality.
CLAUSE REQUIREMENTS
1. 2.1 The company shall have an up-to-date organisational chart demonstrating the management structure of
the company.
This shall, where appropriate, include the responsibilities for any associated hub or satellite depots and
any responsibilities carried out by a head office.
1. 2.2 The senior management of the company shall ensure that all employees are aware of their responsibilities
and that mechanisms are in place to monitor the effectiveness of their operation.
1. 2.3 The senior management of the company shall ensure that levels of responsibility and accountability are
clearly defined for key staff involved with product safety, legality and quality systems. To this end, job
descriptions shall be available. There shall be appropriate documented arrangements in place to cover for
the absence of key staff.
1. 2.4 The senior management of the company shall have a system in place to ensure that it is kept informed of
all relevant legislation, product safety issues, scientific and technical developments, and industry codes
of practice. There shall be a system in place to ensure that relevant information is passed to the
management at other locations, where appropriate.
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2 HAZARD AND RISK ANALYSIS
The site’s product safety plan shall be based on the principles of hazard and risk analysis, which shall be
documented, systematic, comprehensive, fully implemented and maintained. In the food industry these principles
are commonly known as HACCP (hazard analysis and critical control points).
CLAUSE REQUIREMENTS
2.1 Prior to the company conducting a hazard analysis, the company shall ensure prerequisites are in place.
Product safety prerequisites or handling requirements shall include, but not be limited to:
• condition and maintenance of buildings, equipment and transport vehicles as appropriate
• documented practices for the safe handling, storage and transport of products
• procedures for handling damages, waste product and returns
• pest control procedures
• sanitation procedures (cleaning and disinfection)
• maintenance of the cold chain (not applicable to ambient stable products)
• personal hygiene (limited applicability to pre-packed food products or consumer products)
• training.
2.2 The hazard and risk analysis shall be carried out by a multi-disciplinary team including operators
and managers who are experienced in the particular activities undertaken by the site. The team
members shall have knowledge of the hazard and risk analysis principles.
2.3 The person responsible for leading the hazard analysis shall be able to demonstrate
competence in the understanding of HACCP principles and their application. In the event of
the company not having appropriate in-house knowledge, external expertise may be sought
but the day-to-day management of the system shall remain the responsibility of the company.
2.4 Where the hazard and risk analysis study has been undertaken centrally, it shall be possible to
X demonstrate that the study has been verified to meet the specific activities of the local
operation to which the study applies.
2.5 The hazard analysis, and resulting procedures, shall have senior management commitment,
and shall be implemented through the site’s documented management systems.
2.6 The company shall define the scope of the hazard and risk analysis in terms of the
products and processes that are covered.
This shall include:
• a description of the types of products stored or distributed and any particular specified
storage or handling conditions; for example, temperature control, fragility, maximum
stacking height, propensity to water damage, conditions of light
• the product flow from receipt, storage and dispatch transport to the recipient of the product.
This shall include any cross-docking or intermediate storage steps which may be used in the
distribution and any back-haul or returns activities.
2.7 The company shall identify and record all potential hazards associated with each step of the product flow
as identified in clause 2.6. The company shall include consideration of the following types of hazard:
• microbiological growth resulting from temperature abuse of products that require temperature control
• physical contamination (e.g. glass contamination from broken lights, wood splinters from
pallets, dust, splashing during transfer, pests)
• chemical contamination (e.g. product tainting, spillage, cleaning chemicals)
• physical damage (e.g. breakage, puncturing of packaging, water damage)
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PART II REQUIREMENTS
CLAUSE REQUIREMENTS
2.8 The company shall complete a documented analysis of the potential hazards in order to
identify which need to be controlled. The following should be considered:
• the likely occurrence of the hazard, as established by previous company/industry experience
• the severity of the hazard (e.g. injurious to health, potential to cause food-poisoning,
rejection or a product recall)
• existing prerequisite programmes that effectively prevent or reduce the hazard to acceptable limits.
2.9 For each hazard which requires control, control points shall be reviewed to identify those that
are critical. This requires a logical approach and may be facilitated by the use of a decision
tree. Critical control points are defined as those control points which are critical to prevent,
eliminate or reduce a significant hazard to acceptable limits.
2.10 Control by prerequisites and documentation
Where the control of hazards is by means of prerequisite programmes, these shall be fully
implemented and be demonstrably effective in controlling or reducing the hazard.
2.11 Critical control points
X
If there are critical control points (CCPs) that are identified where product safety and legality requires
control measures to be in place, e.g. storage temperature, then for each CCP it is necessary to:
• establish the corrective action to be taken when monitoring indicates that a particular CCP is
not under control
• establish procedures of validation and verification to confirm that the system is working
effectively, including auditing of the system
• establish documentation concerning all procedures and records appropriate to these
principles and their application.
2.12 The hazard and risk analysis shall be reviewed whenever new product types that have
different characteristics from the products included within the original study are stored or
transported, or where new operations/process steps are introduced.
2.13 The hazard and risk analysis and prerequisite programmes shall also be formally reviewed at
least annually and this review documented.
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3 QUALITY MANAGEMENT SYSTEM
3.1 GENERAL DOCUMENTATION REQUIREMENTS
3.1.1 QUALITY SYSTEMS
The company shall document procedures to demonstrate compliance with the Standard and shall ensure that all documents
necessary to demonstrate the effective operation and control of the processes underpinning this compliance are in place.
The company’s senior management shall ensure that all documents, records and data critical to the
management of product safety, legality and quality are in place and effectively controlled.
CLAUSE REQUIREMENTS
3.1.2.1 All documents in use shall be authorised and be the correct version.
3.1.2.2 Documents shall be clearly legible, unambiguous, in appropriate languages and sufficiently
detailed to enable their correct application by appropriate personnel. They shall be readily
accessible to relevant staff at all times.
3.1.2.3 There shall be a record of the reason for any changes or amendments to documents critical
to product safety, legality or quality systems and procedures.
3.1.2.4 Changes to documents shall be effectively notified to document users. A procedure shall be in place to
ensure obsolete documentation is rescinded and, if appropriate, replaced with a revised version.
The company shall maintain records to demonstrate the effective control of product safety, legality and quality.
CLAUSE REQUIREMENTS
3.1.3.1 The records shall be legible and genuine, and retained in good condition for an appropriate defined time
period. The record retention time period should reflect product shelf life and any specific customer or
legal requirements, but shall never be less than 1 year.
3.1.3.2 The company shall operate procedures for the collation, maintenance, storage and retrieval of all relevant
records. Where records are in electronic form, these shall be suitably backed up to prevent loss.
3.2 INTERNAL AUDIT
The company shall audit those systems and procedures that are critical to product safety, legality and quality to
ensure they are appropriate and complied with.
CLAUSE REQUIREMENTS
3.2.1 The audits shall be scheduled, and their scope and frequency shall be established in relation to the risks
associated with the activity. The audits shall cover all of the locations included within the scope.
3.2.2 Internal audits shall be carried out by appropriately trained, competent auditors, who shall not
audit their own work or where they have direct influence on the operation within the
department or section being audited.
3.2.3 Records of internal audits shall be maintained to ensure that conformity as well as non-
conformity can be clearly identified and verified.
3.2.4 Results of the internal audit and positive and negative comments shall be brought to the
attention of the personnel responsible for the activity audited. Corrective actions and timescales
for their implementation shall be agreed.
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3.3 CORRECTIVE AND PREVENTIVE ACTION
PART II REQUIREMENTS
The company’s senior management shall ensure that procedures exist to record, investigate, analyse and correct the cause
of failure to meet standards, specifications and procedures which are critical to product safety, legality and quality.
CLAUSE REQUIREMENTS
3. 3.1 An appropriate staff member shall be identified and allocated the responsibility and accountability for
each corrective action. This shall be documented.
3. 3.2 The company shall ensure that effective actions are taken to correct each non-conformity and shall
monitor and record their completion within an appropriate timescale.
3. 3.3 Where a non-conformity places the safety, legality or quality of products at risk, this shall be investigated
and recorded including:
• clear documentation of the non-conformity
• assessment of the consequences by a suitably competent and authorised person
• the action to be taken to address the immediate issue
• an appropriate timescale for correction
• the person responsible for correction
• verification that the correction has been implemented and is effective
• identification of the root cause of the non-conformity and implementation of any necessary
actions to prevent recurrence.
CLAUSE REQUIREMENTS
3.4.1 Customer requirements for the storage and/or distribution of their product shall have been agreed with
the customer and documented prior to fulfilment. This shall include any specific handling requirements for
the products, e.g. temperature, humidity, light conditions, stack height or compatibility requirements. This
may be in the form of a company-issued service specification where no customer-issued specification
exists.
3.4.2 The company shall have the ability to meet defined customer requirements without compromising
product quality, safety and legality.
3.4.3 Where specified by the customer a review of customer needs and requirements shall be undertaken. Any
changes to existing agreements or contracts shall be agreed, documented and communicated to
appropriate personnel.
3.4.4 There shall be key performance indicators established relating to customer requirements, performance
shall be measured and results communicated to relevant staff.
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3.5 PURCHASING
The company shall control all its purchasing processes that are critical to product safety, legality and quality to
ensure that services procured conform to defined requirements.
Where activities covered by the scope of this Standard are subcontracted to a third party, e.g. distribution, the subcontractor
shall be required to work in accordance with the relevant requirements of this Standard and relevant legislation.
CLAUSE REQUIREMENTS
3.5.2.1 A contract or written agreement shall exist with all subcontractors, which shall, on the basis of
X risk and any specified customer contracts, define requirements for the safe handling, storage
and transport of products, e.g. temperature, special handling requirements, segregation of
incompatible products, vehicle type.
3.5.2.2 There shall be a documented process for the review and acceptance of a subcontractor who
X could potentially impact product safety quality and legality. This process shall include a review
of the subcontractor’s ability to meet the specified requirements for the safe storage or
distribution of products. This may include certification against the Standard.
3.5.2.3 There shall be a documented review of the performance of all subcontractors and necessary
X follow-up action to ensure the safety of products where performance is not to specification.
3.5.2.4 A register of suitable approved subcontractors shall be maintained, which shall include
X subcontractors required irregularly, e.g. to meet peak seasonal demand, breakdown cover.
3.6 TRACEABILITY
The site shall have a system of traceability with the ability to trace products through receipt, storage, dispatch
and, where applicable, distribution, and vice versa.
CLAUSE REQUIREMENTS
3.6.1 The site shall have adequate procedures to ensure products and/or pallets are labelled and/or coded to
allow product identification and traceability at all times.
3.6.2 Inventory records for vehicles shall enable products to be tracked from loading to delivery and include
tracking the movement of trailers/vehicles.
3.6.3 Procedures shall ensure traceability of damaged packs and of products returned to stock or disposal.
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PART II REQUIREMENTS
CLAUSE REQUIREMENTS
3.6.4 The system shall be tested at least annually to ensure that traceability can be determined, including
consignor details, through the warehouse/store and/or distribution to the final consignee. Full traceability
should be achievable in 4 hours.
CLAUSE REQUIREMENTS
3.7.1 The company shall ensure that systems are in place to formally notify the owner/manufacturer of products
where evidence of a product quality or safety issue becomes apparent during the storage or distribution
of their product. Documented evidence of the formal notification must be retained.
3.7.2 The procedures relating to product withdrawal and product recall shall be appropriate, formalised and
capable of being operated at any time, and will take into account stock requisition, logistics, recovery,
storage and disposal (see Requirements, section 3.9 Control of non-conforming product, damages and
returns). The procedures shall be regularly reviewed and, if necessary, revised to ensure that they are
current.
3.7.3 The product recall and withdrawal procedures shall be tested at least annually to ensure their effective
operation. All records supporting the recall data and results of the test shall be retained.
CLAUSE REQUIREMENTS
3.8.1 The company shall provide written guidance to relevant staff regarding the type of event that would
constitute an ‘incident’, and a documented incident-reporting procedure shall be in place.
3.8.2 Procedures shall exist to ensure that product put at risk by an incident is held pending further
investigation.
3.8.3 The owner of the product shall be informed where an incident occurs that may put the safety or quality of
their product at risk.
3.8.4 The company shall develop contingency planning for business continuity in the event of major incidents
such as:
• disruption to key services – e.g. water, energy, staff availability
• events such as flood, fire and natural disaster
• malicious contamination or sabotage.
3.8.5 The procedures shall include as a minimum:
• identification of key staff constituting the incident management team and their responsibilities
• an up-to-date list of key contacts (including out-of-hours contact details) or reference to the location of
such a list (e.g. deputies, emergency services, suppliers, customers, certification body, regulatory
authority)
• alternative arrangements to fulfil customer expectations
• a communication plan, including the provision of information in a timely manner to customers,
consumers and, where appropriate, regulatory authorities.
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3.9 CONTROL OF NON-CONFORMING PRODUCT, DAMAGES AND RETURNS
The site shall have documented procedures to ensure all non-conforming product is clearly identifiable,
effectively quarantined to prevent release and issues investigated.
CLAUSE REQUIREMENTS
3.9.1 Where products are held pending further investigation, this shall be carried out in such a way
as to minimise any further deterioration of these products or contamination of other products.
3.9.2 All non-conforming products shall be handled or disposed of according to the nature of the
problem and/ or the specific requirements of the owner.
3.9.3 Corrective actions shall be implemented where appropriate to prevent recurrence of non-
conformance, and adequate documentation kept of the action taken.
3.9.4 The site shall have a defined policy for customer returns and rejections.
3.9.5 Where returns are accepted, procedures shall define, on the basis of risk, the disposition of returned stock
X – i.e. disposal, return to good stock or collection by the product owner. Records shall be retained.
3.10 COMPLAINTS HANDLING
The company shall have a system for the management of complaints and complaint investigation regarding
products and/or services provided.
CLAUSE REQUIREMENTS
3.10.1 Actions appropriate to the seriousness and frequency of the problems identified shall be carried out
promptly and effectively, and records shall be retained.
3.10.2 Complaint data shall, where appropriate, be used to instigate ongoing improvements in order to prevent
recurrence.
3.10.3 A system shall be in place to notify the product manufacturer/supplier or owner of complaints about their
products where the cause of the complaint does not relate to the activities of the site.
18 WWW.BRCGLOBALSTANDARDS.COM
4 SITE AND BUILDING STANDARDS
PART II REQUIREMENTS
4.1 LOCATION, PERIMETER AND GROUNDS
The site shall be located and maintained so as to provide protection and prevent hazard to products. Safety,
legality and quality of products shall not be compromised.
CLAUSE REQUIREMENTS
4.1.1 Consideration shall be given to local activities and environment, which may have a potentially adverse
XR impact, and measures shall be taken to prevent product contamination. Where measures have been put
into place to protect the site from any potential contaminants, these shall be regularly reviewed to ensure
they continue to be effective.
4.1.2 All grounds within the site shall be finished and maintained to an appropriate standard.
4.1.3 A clean and unobstructed area shall be in place along external walls of buildings used for the storage of
products.
4.1.4 Sites shall be adequately drained. Where natural drainage is inadequate, additional drainage shall be
installed.
4.1.5 External storage shall be minimised where undertaken, and items shall be protected from contamination
X and deterioration.
4.2 SITE SECURITY
The site security shall ensure product safety and integrity.
CLAUSE REQUIREMENTS
4.2.1 A documented risk assessment shall be undertaken to identify potential risks to the security of product
held on the premises in storage or on vehicles, and appropriate controls implemented to reduce the risk.
The risk assessment should be reviewed at an appropriate frequency or, as a minimum, annually.
4.2.2 Access to the site by employees, contractors and visitors shall be controlled and a visitor reporting system
XD shall be in place.
4.2.3 The company shall have documented site security procedures. Staff shall be trained in the site security
procedures and encouraged to question or report unidentified or unknown visitors.
CLAUSE REQUIREMENTS
4. 3.1 Premises shall allow sufficient working space to enable all operations to be carried out properly under
XD safe hygienic conditions and prevent the risk of product damage.
4. 3.2 Adequate segregated storage facilities shall be available to enable incompatible products to be
effectively segregated, where required, to minimise the risk of taint or cross-contamination.
4. 3.3 The positioning of machinery, equipment, site facilities and services, where provided, shall not jeopardise
XD the integrity of the product, and shall prevent product contamination and damage.
4. 3.4 Suitable and sufficient extraction methods shall be provided in areas where fumes may build up (e.g.
XD battery-charging areas). These areas shall also be segregated from product storage areas.
4. 3.5 Appropriate storage facilities shall be provided for the control and storage of cleaning and maintenance
chemicals, and sited so they shall not compromise the safety, legality and quality of the product.
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CLAUSE REQUIREMENTS
4. 3.6 Cleaning facilities, e.g. for tray-washing, shall, where appropriate, be adequately segregated from product
X handling and storage.
4. 3.7 Where products are susceptible to weather damage, vehicles shall be loaded and unloaded in covered
bays so as to protect the product, or other effective measures shall be put in place.
CLAUSE REQUIREMENTS
4.4.1 Walls, floors, ceilings and pipe work shall be maintained in good condition and shall be
XD capable of being kept clean.
4.4.2 Floors shall be designed to meet the demands of the operation and, where appropriate, withstand
XD cleaning materials and methods. They shall be impervious and maintained in good repair.
4.4.3 Where there is a need for drainage, it shall be designed and maintained to minimise risk of
XD product damage or contamination and not compromise product safety, quality and legality.
4.4.4 All water supplies used for cleaning, or in connection with any operation in the storage of products,
XD shall be potable, either being drawn from mains supply or suitably treated according to its source.
4.4.5 Building voids shall be accessible for inspection and, where appropriate, cleaning.
XD
4.4.6 Adequate lighting shall be provided for all work areas. Suitable and sufficient lighting shall be
X provided so as to permit effective inspection of product and effective cleaning.
4.4.7 All bulbs and strip lights that are vulnerable to breakage, including those on electric fly killer units, shall be
XD protected by shatterproof plastic diffusers, sleeve covers or a shatterproof protective coating. Where full
protection cannot be provided, the glass-management system shall take this into account.
4.4.8 Where there is a risk of contamination from glass from window breakage, glass windows
XD shall be protected against breakage or the product shall be adequately protected.
4.4.9 Buildings shall be suitably proofed against the entry of all pests. This shall include as appropriate:
XD • the screening of windows that are designed to be open for ventilation
• the provision of external doors that are close-fitting or adequately proofed
• where external doors to storage areas are kept open, the adoption of suitable precautions
to prevent pest ingress
• the fitting of screens and traps to drains to prevent pest entry
• the protection of canopies from bird roosting and nesting.
4.4.10 The condition of the building fabric shall be monitored through documented audits.
XD Repairs and improvements identified shall be scheduled.
20 WWW.BRCGLOBALSTANDARDS.COM
4.5 STAFF FACILITIES
PART II REQUIREMENTS
Staff facilities shall be sufficient to accommodate the required number of personnel, designed and operated to
minimise the risk of product contamination. Such facilities shall be maintained in good and clean condition and
meet any applicable legal requirements.
CLAUSE REQUIREMENTS
4. 5.1 Where open food is stored, toilets shall not open directly into storage areas. All toilets shall be provided
with hand-washing facilities comprising:
• basins with soap and water at a suitable temperature
• adequate hand-drying facilities
• hand-wash signs.
4. 5.2 Suitable and sufficient hand-cleaning facilities shall be provided and easily accessible to staff and, where
applicable, vehicle drivers. Such hand-wash facilities may be located within toilet areas.
4. 5.3 Where protective clothing is required, designated changing facilities shall be provided for all personnel,
X whether staff, visitors or contractors, with direct access to handling and storage areas.
4. 5.4 Facilities shall be provided for the safe storage of personal items so that such items are not taken into
XD storage areas.
4. 5.5 The position of catering facilities, where provided, shall not jeopardise the safety, legality and quality of the
X product.
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5 VEHICLE OPERATING STANDARDS
5.1 VEHICLE STANDARDS
All vehicles used for the transportation of product shall be suitable for the purpose, maintained in good repair and
in hygienic condition.
CLAUSE REQUIREMENTS
5.1.1 The load-carrying area shall be free from loose items, damaged panels or projections
XS which could present a risk of damage to products.
5.1.2 The load-carrying area shall be maintained in a suitable condition to prevent the ingress of
XS rain or dampness during transport where the product is vulnerable to weather damage.
5.1.3 The load-carrying area shall be maintained in a condition which facilitates ease of cleaning.
XS
5.1.4 The load-carrying area shall be inspected prior to loading to ensure it is fit for purpose. This
XS shall ensure that it is (as a minimum):
• in a clean condition
• free from strong odours which may cause taint to products
• free from excess humidity which may cause growth of moulds.
CLAUSE REQUIREMENTS
5.2.1 A documented risk assessment shall be undertaken to identify potential risks to the security of the load
XS during transportation, at cross-docking and when using drop-offs. Appropriate controls shall be
implemented to reduce the risks. The risk assessment should be reviewed at an appropriate frequency or,
as a minimum, annually.
5.2.2 Access to all vehicles shall be restricted to authorised personnel.
XS
5.2.3 Procedures for maintaining the security of the vehicle shall be documented and shall be
XS understood by drivers and delivery staff.
5.2.4 Where vehicle load areas are fully enclosed, doors shall be locked when vehicles have been loaded.
XS Where seals are used, these shall be checked for integrity before unloading.
5.2.5 Where locks or seals are not fitted to vehicles, alternative security arrangements shall be
XS employed, in accordance with risk, together with inspection procedures. The system shall be
sufficient to ensure that if access to the load-carrying area of the vehicle has occurred, this
would be evident and action taken to ensure the safety of the products.
22 WWW.BRCGLOBALSTANDARDS.COM
5.3 VEHICLE MANAGEMENT
PART II REQUIREMENTS
The management of vehicles shall be organised to ensure that legal requirements are met and there is
minimal risk of disruption to the service provided.
CLAUSE REQUIREMENTS
5. 3.1 Procedures shall be in place to ensure that road vehicles are maintained in a roadworthy condition to
XS reduce the risk of vehicle breakdown and consequent failure to meet customer requirements.
5. 3.2 Where legally required, vehicle operators shall be registered with the appropriate authority.
X
5. 3.3 Procedures shall be in place in case of vehicle breakdown, accident or incident. The procedures shall
XS ensure that product quality, safety and legality are maintained and should include:
• clear instructions and emergency contact numbers for the drivers
• instructions on how to preserve any specific temperature or other environmental controls
appropriate to the load
• checks required to be made on the load before continuing the journey.
CLAUSE REQUIREMENTS
5.4.1 The company shall operate procedures to verify that the vehicle and equipment employed are capable of
X consistently maintaining specified product temperature requirements at maximum and minimum loads.
5.4.2 Automatic temperature and time-recording equipment shall be used to monitor and record the
X temperature of the load-carrying area to ensure that the product temperature remains within specification.
In the absence of such equipment, manual checks shall be carried out and recorded at an appropriate
frequency.
5.4.3 Where settings can be adjusted, measures shall be in place to verify temperature settings of vehicles prior
X to dispatch. Vehicles transporting chilled and frozen products shall be chilled before loading or the
required air temperature achieved within a defined time of loading commensurate with maintaining the
specified product temperature.
5.4.4 Loading and unloading operations shall be undertaken in such a way as to maintain product temperature
X within the specified limits.
5.4.5 A system shall be in place to enable the driver to be made aware if the temperature of the load-holding
X area varies from the specified limits.
5.4.6 In the case of equipment failure, procedures shall be in place to establish the safety and quality status of
X the product, prior to release to the customer.
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6 FACILITY MANAGEMENT
6.1 EQUIPMENT
Equipment shall be suitably designed for the intended purpose and shall be used so as to minimise the risk of
damage to, or contamination of, product.
CLAUSE REQUIREMENTS
6.1.1 Roll cages, pallet lifts and forklift trucks shall be maintained in a good working condition
XD to prevent damage to product.
6.1.2 If racking is present, it shall be adequately maintained, constructed and periodically
XD inspected for damage.
6.1.3 All diesel-powered handling equipment, where used, shall incorporate an appropriate exhaust
XD filter system for the removal of particulates that can pose a contamination risk to product.
6.1.4 Where appropriate, procedures shall be in place to monitor the condition of wooden pallets
XD and plastic trays to prevent the risk of contamination or damage to products.
6.1.5 Knives or other tools provided shall be used in such a way as to prevent damage to
products. Snap-off blade knives shall not be used.
6.2 MAINTENANCE
A system of planned maintenance shall be in place covering all items of equipment which are critical to product
safety, legality and quality.
CLAUSE REQUIREMENTS
6.2.1 Planned maintenance systems shall be in place for plant and equipment that generates and
X maintains temperature-controlled areas.
6.2.2 The site shall ensure that the safety, legality or quality of product is not jeopardised during
maintenance operations.
6.2.3 All third-party contractors and engineers shall be aware of and shall adhere to the site’s
X operating standards. Where appropriate, this shall include the site’s hygiene standards and
contamination control policies.
6.2.4 Cleaning or replacing light fittings and glass shall be done in a manner such as to minimise
the potential for product contamination.
6.2.5 Records shall be kept of vehicle and equipment maintenance.
6.2.6 Where open food products are stored, handled or transported, food grade lubricants shall be used.
X
CLAUSE REQUIREMENTS
6. 3.1 The company shall calibrate and where necessary adjust the identified measuring and monitoring
X devices to ensure accuracy within agreed parameters at a predetermined frequency. Where adjustment is
not possible, inaccurate equipment shall be replaced.
6. 3.2 Equipment specified to measure critical control points and legality shall be traceable to a recognised
X national standard.
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PART II REQUIREMENTS
CLAUSE REQUIREMENTS
6. 3.3 Records of the results of calibration and verification shall be maintained.
X
6. 3.4 The measuring and monitoring devices shall be identified and marked in accordance with calibration
X requirements.
6. 3.5 The identified measuring and monitoring devices shall be prevented from being adjusted by unauthorised
X staff.
6. 3.6 The identified measuring and monitoring devices shall be protected from damage, deterioration or
X misuse.
6. 3.7 Procedures shall be in place to record actions taken when the identified measuring and monitoring
X devices are found not to be operating within specified limits.
CLAUSE REQUIREMENTS
6.4.1 Documented cleaning schedules shall be in place and implemented for the building, vehicles, plant and
all equipment. The frequency and depth of cleaning shall be based on risk.
6.4.2 Cleaning practices shall be completed so as to maintain a suitable environment for the storage and
distribution of products. Practices shall minimise risk of contamination to the product.
6.4.3 Where clean in place (CIP) systems are in use for cleaning tankers, these shall be designed and operated
X to ensure effective cleaning, commensurate with the products transported.
6.4.4 Adequate staff, facilities and equipment shall be provided to allow cleaning to be undertaken at a level
commensurate with the activities being undertaken by the site.
6.4.5 Records shall be maintained of cleaning undertaken. This shall include any cleaning of vehicles carried
out by subcontractors (e.g. tanker cleaning) and, where required by customers, cleaning certificates.
6.4.6 Cleaning chemicals shall be fit for purpose, suitably labelled, secured in closed containers and used in
accordance with manufacturers’ instructions.
6.4.7 Where appropriate, the effectiveness of the cleaning and sanitation procedures shall be verified and
recorded.
CLAUSE REQUIREMENTS
6. 5.1 Systems shall be in place to minimise the accumulation of waste in handling and storage areas.
6. 5.2 External waste collection containers and compactors shall be managed in such a manner as to contain
X products and not attract pests. Containers holding food products or packaging shall be covered or
closed.
6. 5.3 Products that require specific conditions for disposal shall be separated and disposed of using licensed
X contractors and in compliance with any legal requirements.
6. 5.4 In the event that substandard trademarked materials are transferred to a third party for destruction or
X disposal, that third party shall be in the business of secure product or waste disposal and shall provide
records of material destruction or disposal.
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CLAUSE REQUIREMENTS
6.5.5 Surplus customer-branded products shall be disposed of in accordance with customer-specific
X requirements. Customer brand names shall be removed from packed surplus products before the
product enters the supply chain unless otherwise authorised by the customer.
6.5.6 Where customer-branded products which do not meet specification are sold to staff or passed on to
X charities or other organisations, this shall be with the prior consent of the brand owner. Processes shall be
in place to ensure that all products are fit for consumption and meet legal requirements.
6.6 PEST CONTROL
The company shall be responsible for minimising the risk of pest infestation on the site.
CLAUSE REQUIREMENTS
6.6.1 If pest activity is identified it shall not present a risk of contamination to products.
The presence of any infestation on site shall be documented in pest control records and be
part of an effective pest management programme to eliminate or manage the infestation so
that it does not present a risk to products.
6.6.2 The company shall either contract the services of a competent pest control organisation, or
XD shall have trained personnel, for the regular inspection and treatment of premises, in order
to deter and eradicate infestation.
6.6.3 Where the services of a pest control contractor are employed, the service contract shall be
XD clearly defined and reflect the activities of the site.
6.6.4 The location of all pest control measures shall be identified on a plan/diagram of the site.
XD
6.6.5 Results of pest control inspections shall, on a regular basis, be assessed and analysed for trends.
XD
6.6.6 Detailed records shall be kept of the pest control inspections, recommendations and
XD necessary actions undertaken.
6.6.7 All products shall be stored so as to minimise the risk of infestation. Where stored-product
XD pests are considered a risk, appropriate measures shall be included in the control programme.
6.6.8 Documentation shall detail the safe use and application of baits and other materials such as
XD insecticide sprays or fumigants.
26 WWW.BRCGLOBALSTANDARDS.COM
7 GOOD OPERATING PRACTICES
PART II REQUIREMENTS
7.1 RECEIPT OF GOODS
Goods acceptance procedures shall be in place to ensure products are within specification before acceptance.
CLAUSE REQUIREMENTS
7.1.1 Where specific measurable conditions, such as temperature, are critical to the safety, quality or legality of
X products, processes shall be in place to ensure requirements are fulfilled before acceptance.
7.1.2 There shall be a procedure for inspection of loads on arrival to ensure that products are free from pest
XD infestation, contamination or damage and are in a satisfactory condition.
7.1.3 Procedures shall also be in place to ensure that the loads or products have been held under secure
XD conditions before acceptance.
7.1.4 Where products are marked with a durability code, the residual shelf life shall be checked to ensure this
XD meets any specified customer minimum and assist in stock rotation.
7.2 PRODUCT HANDLING
Product handling and movement shall be carried out to minimise the risk of product damage.
CLAUSE REQUIREMENTS
7. 2.1 Personnel shall be aware of any products requiring specific handling conditions and be trained in
appropriate procedures.
7. 2.2 The loading of vehicles or shipping containers shall be carried out in a manner which prevents damage,
and loads shall be secured to prevent movement during transit.
7. 2.3 Where products are repacked onto pallets for storage or further distribution, the packing configuration
X shall prevent the risk of damage (e.g. overhanging cases). Where required, repacked pallets shall be
band-wrapped to prevent damage in storage or distribution.
7. 2.4 Products shall be stored off the floor either on pallets or racking.
XD
7.3 ENVIRONMENT CONTROL
Where the storage environment (e.g. temperature or controlled atmosphere) is critical to product safety, legality
and quality, during handling and storage this shall be adequately controlled, monitored, recorded and verified.
CLAUSE REQUIREMENTS
7. 3.1 Monitoring shall be carried out in accordance with product specification requirements and/or specified
X procedures.
7. 3.2 In circumstances where temperature control is required, manual or automatic temperature and/or
X time-recording equipment linked to an automatic alarm system shall be used to monitor temperature.
7. 3.3 In circumstances where a controlled atmosphere is critical to product safety, quality or legality, manual or
X automatic gas proportioning and/or time-recording equipment shall be used to monitor, at an appropriate
frequency, the gas proportions in the controlled atmosphere.
7. 3.4 Facilities shall be adequate to maintain products within the temperature range specified for the product
X specification.
7. 3.5 Where temperature control is required, product handling and transfer operations shall be undertaken so
X as to maintain temperature control. Maximum limits on the period of time that particular types of products
may remain outside a temperature-controlled environment shall be defined.
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CLAUSE REQUIREMENTS
7. 3.6 In the case of equipment failure, procedures shall be in place to establish, in conjunction with the product
X owner, the safety status and effect on the quality of the product prior to release to distribution.
7. 3.7 Where temperature, humidity or controlled-atmosphere stores are used, the level of uniformity of the
X environmental condition under control (e.g. temperature distribution) shall be established and where
necessary restrictions on product placement be identified.
7. 3.8 In the event of changes to equipment, the company shall, where appropriate, re-establish the
X performance capability within the storage area.
CLAUSE REQUIREMENTS
7.4.1 Detailed written procedures for handling glass and brittle material breakages in the storage, product-
handling or load-carrying area of vehicles shall be in place to ensure the necessary precautions are taken.
7.4.2 All spillages or breakages that pose risk of product contamination shall be recorded in an incident report.
7.4.3 Where allergenic materials are stored or transported, the potential risk of cross-contamination shall be
X assessed and any necessary additional spillage controls incorporated. Where allergenic materials are
packaged in a format at particular risk of damage (e.g. paper sacks) designated storage areas shall be
used to reduce risk of damage and cross-contamination of other products.
7.5 STOCK ROTATION
Procedures shall be in place to ensure products are used in the correct order and within the allocated shelf life.
CLAUSE REQUIREMENTS
7. 5.1 Receipt documents and/or product labelling shall facilitate correct stock rotation.
7. 5.2 An effective system shall be in place for identifying the location of stock within the storage area to facilitate
XD stock rotation.
7. 5.3 Product shall be handled with due regard to stated shelf life for onward sale, and shall be in compliance
XD with minimum specified shelf life on delivery where this is specified by customers.
7.6 PRODUCT RELEASE
The company shall ensure that product is not released unless all release procedures have been followed.
CLAUSE REQUIREMENTS
7.6.1 Where products require positive release, procedures shall be in place to ensure that the release does not
XD occur until all release criteria have been met and the release has been authorised. Records shall be
retained.
7.6.2 In circumstances where release of product is authorised by the owner of the products or legal clearance
XD (e.g. customs), the management shall have systems in place to ensure that authority for release has been
provided prior to dispatch. Evidence of authorisation shall be retained.
28 WWW.BRCGLOBALSTANDARDS.COM
8 PERSONNEL
PART II REQUIREMENTS
8.1 TRAINING AND COMPETENCY
The company shall ensure that all employees are adequately trained, instructed and supervised to a degree
commensurate with their activity and are demonstrably competent to carry out their activity.
CLAUSE REQUIREMENTS
8.1.1 All personnel, including temporary personnel and contractors, shall be appropriately trained prior to
commencing work and adequately supervised throughout the working period.
8.1.2 The company shall have documented training procedures and documented training records to
demonstrate that the training is appropriate and effective.
8.1.3 Where personnel are engaged in activities relating to critical control points (CCPs), they shall receive
specific training relevant to the CCPs. Where personnel carry out activities which could affect product
safety, legality and quality, the company shall ensure that personnel have been trained in the best-practice
operating principles for the particular task.
8.1.4 The company shall routinely review the competencies of staff and provide relevant training as appropriate.
This may be in the form of training, refresher training, coaching, mentoring or on-the-job experience.
8.2 PERSONAL HYGIENE
The site’s personal-hygiene standards shall be documented and adopted by all personnel, including agency staff
and visitors to the location, with due regard to risk of product contamination.
CLAUSE REQUIREMENTS
8.2.1 The site’s personal-hygiene standards shall include policy for the following:
• the wearing of protective clothing/work-wear
• the wearing of jewellery
• smoking, eating and drinking
• hand-cleaning/personal hygiene
• reporting of sickness.
8.2.2 The requirements for personal hygiene shall be communicated to all personnel, agency staff and visitors.
Compliance with the requirements shall be checked regularly.
8.2.3 Smoking (where permitted under law), eating and drinking shall only be permitted in designated areas
and shall not be permitted in storage and product-handling areas.
8.2.4 Where work-wear is provided, this shall be maintained in a good and clean condition. Additional
XR requirements shall be met where open food is stored, handled or distributed.
8.2.5 Protective clothing shall be provided for those employees working with open food. The protective
X clothing shall be designed and maintained so as not to pose a contamination risk to the product.
8.2.6 Protective clothing shall be laundered effectively on a regular basis. A system shall be in place to ensure
X the effectiveness of the laundering process.
8.2.7 Disposable protective clothing, if used, shall be subject to adequate control to avoid product
X contamination.
8.2.8 All hair shall be fully contained to prevent product contamination.
X
8.2.9 All cuts and grazes on exposed skin shall be covered by a contrasting-coloured plaster that is site-issued
X and monitored.
8.2.10 There shall be a procedure for the notification by employees, including temporary employees, of the
X details of any relevant infectious disease or condition with which they may have come into contact or from
which they may be suffering.
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WHOLESALE MODULE
For the purpose of the Standard, wholesalers are defined as companies that purchase product (take legal title) for
resale to other businesses, i.e. not to the final consumer. The Standard can only be applied to wholesalers that have
storage facilities under their direct control where purchased product is received, and which either deliver this product
to customer businesses or allow customer businesses to collect.
Where the company applies for certification to the wholesale module, all relevant requirements from the core Global Standard for
Storage and Distribution (sections 1 to 8) must also be fulfilled in addition to the applicable requirements outlined in this module.
• Section 9 requirements are applicable to the purchase and wholesaling of branded products.
• Section 10 requirements are applicable to wholesalers who sell products under their own brand name and/or
wholesale branded products sold under a brand label exclusive to the wholesaler.
The requirements of sections 9 or 10 or both shall be applied according to the nature of the products stored and
distributed by the wholesaler.
The company shall have systems in place to ensure that products which are purchased for resale are safe,
legal and meet customers’ expectations of quality.
CLAUSE REQUIREMENTS
9.1.1 The company shall have a documented supplier approval procedure which shall be risk-based and clearly
define the criteria to be met. The approval process shall consider the type of product and manufacturing
facility, where the product was manufactured and potential risks in the supply chain to the point of receipt
of the goods by the wholesaler. Supplier approval may be based on:
• enforceable warranties from the supplier
• historical trading relationship and brand reputation
• supplier manufacturing site questionnaire
• certification of the manufacturing site, e.g. BRC Global Standards
• reliable third-party audit of the manufacturing site
• supplier inspection
• demonstrable controls in place by a selling agent or broker.
9.1.2 There shall be a defined process for the ongoing assessment of approved suppliers based on risk and
performance including complaints. The process shall be fully implemented.
9.1.3 The procedures shall define how exceptions are handled, e.g. the purchase of products where audit or
monitoring has not been undertaken.
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10 PURCHASING AND MANAGEMENT OF WHOLESALER OWN-
PART II REQUIREMENTS
LABEL PRODUCTS AND WHOLESALER EXCLUSIVE BRANDS
10.1 SUPPLIER APPROVAL AND PERFORMANCE MONITORING
The wholesaler shall operate procedures for approval and monitoring of the manufacturers and packers of
own-label and exclusive brand products.
CLAUSE REQUIREMENTS
10.1.1 The company shall have a documented supplier approval procedure which identifies the process for the
initial and ongoing approval of suppliers and manufacturers/processors of each product traded. The
requirements shall be based on the results of a risk assessment that shall include consideration of:
• the nature of the product and associated risks
• customer-specific requirements
• legislative requirements in the country of sale or importation of the product
• source or country of origin
• potential for adulteration or fraud.
10.1.2 The approval and monitoring procedure shall be based on risk and include one or a combination of:
• certification (e.g. to BRC Global Standards or other GFSI-recognised scheme)
• supplier/third-party audits, with a scope to include product safety, traceability, HACCP review and
good manufacturing practices, undertaken by an experienced and demonstrably competent product
safety auditor
10.2 PRODUCT AUTHENTICITY
The wholesaler shall ensure that systems are in place to minimise the risk of purchasing fraudulent or adulterated products.
CLAUSE REQUIREMENTS
10.2.1 A documented vulnerability assessment shall be carried out on all products to assess the potential risk of
adulteration or substitution. This shall take into account:
• historical evidence of substitution or adulteration
• economic factors which may make adulteration or substitution more attractive
• ease of access to product through the supply chain
• sophistication of routine testing to identify adulterants
• nature of the raw materials.
The vulnerability assessment shall be kept under review to reflect changing economic circumstances and
market intelligence which may alter the potential risk. It shall be formally reviewed on an annual basis.
10.2.2 Where products are identified as being at particular risk of adulteration or substitution, appropriate
assurance and/or testing processes shall be in place to reduce the risk.
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10.3 PRODUCT DESIGN/DEVELOPMENT
The wholesaler shall ensure that the development and product approval process ensures that products are
safe and legal and that a hazard analysis study is undertaken.
CLAUSE REQUIREMENTS
10.3.1 There shall be a procedure for the assessment and approval of products to be sold as
wholesaler own-brand or exclusive brands.
10.3.2 The wholesaler shall, where appropriate, ensure that suppliers undertake factory trials and
carry out thorough product conformity checks to verify that product formulation and
manufacturing processes are capable of producing a safe and legal product.
10.3.3 The wholesaler shall have a process to ensure that the product label is legal for the known
designated country of sale and in accordance with the appropriate product specification.
10.3.4 Wholesalers shall have processes in place to ensure that they are notified of changes in product
formulation or process and that any such changes have been adequately assessed for safety and legality.
10.3.5 Product shelf life shall be established, taking into account product formulation, packaging, factory
environment and subsequent storage conditions. The shelf life shall be approved by the wholesaler.
10.3.6 The wholesaler shall ensure that shelf life trials are undertaken using documented protocols,
and results documented and retained.
10.4 SPECIFICATIONS
The company shall ensure that appropriate specifications exist for all wholesaler own-brand and
wholesaler exclusive products.
CLAUSE REQUIREMENTS
10.4.1 Specifications shall be adequate and accurate, and ensure compliance with relevant safety and legislative
requirements. These shall include key data to meet legal requirements and assist the user in the safe
usage of the product.
10.4.2 Specifications shall be reviewed whenever products change (e.g. ingredients, processing methods) or at
least every 3 years to ensure adequacy and status. The date of review and the approval of any changes
shall be recorded.
10.5 TRACEABILITY
The wholesaler shall be able to trace all product lots back to the last manufacturer and forward to the
customer of the company.
CLAUSE REQUIREMENTS
10.5.1 The company shall maintain a traceability system for all batches of product which identifies the last
manufacturer or, in the case of primary agricultural products, the packer or place of last significant change
to the product. Records shall also be maintained to identify the recipient of each batch of product from the
company.
10.5.2 The company shall test the traceability system at least annually to ensure that traceability can be
determined back to the last manufacturer and forward to the recipient of the product from the company.
This shall include identification of the movement of the product through the chain from the manufacturer
to receipt by the company (e.g. each movement and intermediate place of storage).
The traceability test shall include the reconciliation of quantities of product received by the company for
the chosen batch or product lot. Traceability should be achievable within 4 hours (1 day when information
is required from external parties).
32 WWW.BRCGLOBALSTANDARDS.COM
10.6 PRODUCT INSPECTION AND ANALYSIS
PART II REQUIREMENTS
The wholesaler shall undertake or subcontract product inspection and analyses that are critical to confirm
product safety, legality and quality, using appropriate procedures, facilities and standards.
CLAUSE REQUIREMENTS
10.6.1 Monitoring of incoming products for compliance to specification shall be based on risk assessment.
Inspection method, frequency of inspection and procedures shall be specified and documented.
Suppliers of incoming materials, as appropriate, shall provide evidence of guarantees, certifications/
declarations of analysis or certificates of conformity.
10.6.2 Where claims are made about products handled or the raw materials used, including the provenance,
chain of custody and assured or ‘identity preserved’ status (see Glossary in Appendix 5), supporting
information shall be available from the supplier or independently to verify the claim.
10.6.3 Where the wholesaler undertakes analyses that are critical to product safety or legality, the laboratory or
subcontractors shall have gained recognised laboratory accreditation or operate in accordance with the
requirements and principles of ISO 17025.
10.6.4 Personnel undertaking product testing and analyses shall be suitably qualified and/or trained, and be
shall be competent to carry out the analyses required.
CLAUSE REQUIREMENTS
10.7.1 The company shall have a documented product withdrawal and recall procedure. This shall include, as a
minimum:
• identification of key personnel constituting the recall management team, with clearly identified
responsibilities
• guidelines for deciding whether a product needs to be recalled or withdrawn, and the records which
need to be maintained
• an up-to-date list of key contacts (including out-of-hours contact details) or reference to the location of
such a list (e.g. recall management team, emergency services, suppliers, customers, certification
body, regulatory authority)
• a communication plan, including the provision of information to customers, consumers and regulatory
authorities in a timely manner
• details of external agencies providing advice and support as necessary (e.g. specialist laboratories,
regulatory authorities and legal experts)
• a plan to handle the logistics of traceability, recovery or disposal of affected product, and stock
reconciliation.
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CONTRACTED SERVICES
MODULE
Storage and distribution operators sometimes provide additional contracted services to their clients as well as the storage and/or
distribution of products. The following additional services are voluntary and may be included within the scope of certification:
• product inspection
• contract packing (repacking, assembly packing)
• quantity control inspection
• contract chilling/freezing/tempering/defrost and high-pressure process operations
• contract cleaning of baskets, roll cages and other distribution containers
• waste recovery and recycling.
Where the services directly relate to product, the Standard shall only be applied to pre-packed food products and fully
assembled consumer products.
Where such services are provided for open food products, the BRC Global Standard for Food Safety shall be used.
Where services include the assembly of components to make a consumer product, this operation shall be assessed
against the BRC Global Standard for Consumer Products.
The contracted services module shall only be certificated in addition to the core Global Standard for Storage and
Distribution (sections 1 to 8). To gain certification for the particular scope of contracted services, companies must
meet the requirements both of section 11 (Contractual arrangements) and the requirements of the particular service
or services to be included within the scope.
All contracted services undertaken shall be clearly specified and reviewed prior to acceptance to ensure that
requirements can be met, any risks to other products are assessed and any necessary controls implemented.
CLAUSE REQUIREMENTS
11.1 The company shall enter into formal contractual arrangements with the customer, specifying
the requirements of the service undertaken to satisfy their customer’s specific needs.
11.2 The company shall review the service specification to ensure that it has the resources
and suitable equipment to undertake the service to the specification required.
11.3 The company shall ensure that services are included within the site’s hazard and risk
assessment (see Requirements, section 2). New products or service components shall be
assessed to identify any additional potential risks and appropriate controls.
11.4 The procedures to undertake the service shall be documented and understood by the staff
responsible for undertaking the work.
11.5 Staff shall receive training as required to deliver the services to the specification agreed.
11.6 Appropriate recorded checks shall be undertaken to ensure that the contracted service is
delivered to the customer-specified limits.
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12 PRODUCT INSPECTION
PART II REQUIREMENTS
Where a product inspection service is provided to ensure the quality or legality of products, this shall be
undertaken using appropriate procedures, facilities and standards.
CLAUSE REQUIREMENTS
12.1 Where inspection is undertaken on behalf of a customer, the service requirements shall be clearly defined
and include:
• any specific handling requirements for the materials being inspected, e.g. temperature controls
• sort criteria (rejection/acceptance criteria)
• sampling rate
• reporting protocol
• instructions on the action to be taken with defective/rejected product.
12.2 The company shall undertake a contract review before accepting the work to ensure that it has the
facilities, resources and competence to undertake the inspection service required.
12.3 The company shall carry out a risk assessment before undertaking work to identify any potential risks to
other products handled or stored, e.g. resulting from damage or spillage during inspection. Appropriate
controls shall be implemented to prevent, or reduce to acceptable levels, any risk identified.
12.4 Inspection methodology and procedures shall be documented and clearly understood by staff
undertaking the work.
12.5 Where equipment is used as part of the inspection process, this shall be calibrated and its operation
verified to ensure the effectiveness of the inspection process.
12.6 Records shall be maintained of the inspection activity including:
• quantities of rejected product
• code information to enable traceability
• sampling or test results to establish the efficiency of the sorting process
• calibration records for any equipment used in the inspection process.
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13 CONTRACT PACKING (REPACKING, ASSEMBLY PACKING)
Where repacking, labelling or other secondary packing operations are undertaken (on packed product),
these shall be managed to ensure the safety, quality and legality of the products.
CLAUSE REQUIREMENTS
13.1 A risk assessment shall be carried out of the proposed packing operation to establish potential risks to
product safety and quality and establish suitable controls to mitigate the risk.
13.2 Product and packaging materials shall be stored under conditions to prevent the risk of contamination
and deterioration. Any part-used product or packaging materials shall be effectively protected before
being returned to storage.
13.3 Where labels/sleeves are applied as part of the process undertaken:
• there shall be a formal process for the allocation of packaging materials to packing lines and control in
the packing area which ensures that only the packaging for immediate use is available to the
packaging machines
• where off-line coding or printing of packaging materials occurs, checks shall be in place so that only
correctly printed material is available at the packaging machines.
13.4 Documented checks of the line shall be carried out before commencement of packing and following
changes of product. These shall ensure that areas have been suitably cleared and are ready for the next
packing run. Documented checks shall be carried out at product changes to ensure that all products and
packaging from the previous packing run have been removed from the line before starting the next
packing run.
13.5 Documented procedures shall be in place to ensure that products are packed into the correct packaging
and correctly labelled. These shall include checks:
• at the start of the packing run
• during the packing run
• when changing batches of packaging materials
• at the end of each packing run.
The checks shall also include verification of any printing carried out at the packing stage including:
• date coding
• batch coding
• quantity indication
• pricing information
• bar coding
• country of origin.
13.6 Where on-line vision equipment is used to check product labels and printing, procedures shall be in place
to ensure that the system is correctly set up and capable of alerting or rejecting product when packaging
information is out of specification.
13.7 Records shall be maintained to ensure full traceability of all component parts and of the finished packed
product. The system shall be regularly tested to ensure that traceability can be determined.
13.8 Where rework or any reworking operation is performed, this shall be taken into account with respect to
the traceability system.
13.9 Where weights of the final packed products are checked, this shall be in accordance with specification
and the legal requirements in the country of sale. Records of checks shall be maintained.
13.10 Inventories shall be maintained of components, packed product and waste. The disposal of unused
components and waste shall be in accordance with the requirements of the customer.
13.11 Finished product checks shall be carried out in accordance with the customer’s requirements and
records maintained.
13.12 The organisation shall identify, verify, protect and safeguard customer property provided for use or
incorporation into the product. If any customer property is lost, damaged or otherwise found to be
unsuitable for use, this shall be reported to the customer and records maintained.
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14 QUANTITY CONTROL INSPECTION
PART II REQUIREMENTS
Where the company undertakes quantity control, the system shall conform to the customer requirement.
CLAUSE REQUIREMENTS
14.1 The frequency and methodology of quantity checking shall meet the requirements of legislation
governing quantity verification, irrespective of the nature of the pre-pack, e.g. minimum weight, average
quantity, average weight, measuring container or quantity.
14.2 If the company undertakes quantity control on imported pre-packed material intended for sale, it shall be
able to demonstrate compliance with the legal requirements where the product is available to the ultimate
consumer.
14.3 Where the quantity of the product is not governed by legislative requirements (e.g. bulk quantity), the
product must conform to customer specification requirements.
14.4 All equipment used for quantity measurement shall be legally acceptable and regularly calibrated.
14.5 Underweight/volume or rejected products shall be disposed of in accordance with the customer’s
requirements.
14.6 Records shall be maintained of the quantity checks and shall be in a format which is legally acceptable in
the country where the products will be sold.
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15 CONTRACT CHILLING/FREEZING/TEMPERING/DEFROST AND
HIGH-PRESSURE PROCESS OPERATIONS
Where the site undertakes contract chilling/freezing/tempering defrost or high pressure process operations on
pre-packaged product, it shall undertake such operations in accordance with specifications provided by the
owner of the product, and ensure that the processes are monitored and that product safety, legality and
quality characteristics are not compromised.
CLAUSE REQUIREMENTS
15.1 The site shall operate procedures to verify that the processes and equipment employed are
capable of meeting the specified requirements of the customer.
15.2 Process validation shall be undertaken in accordance with the requirements of the owner of the product.
15.3 The process shall be monitored by the use of real-time temperature-recording equipment linked to an
automatic failure alarm system or, where appropriate, manual checks at a suitable frequency.
15.4 In the case of equipment failure or process deviation, procedures shall be in place immediately to
advise the owner of the product and to take any action as required by the owner of the product.
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16 CONTRACT CLEANING OF BASKETS, ROLL CAGES AND OTHER
PART II REQUIREMENTS
DISTRIBUTION CONTAINERS
Where the site undertakes contracted cleaning of equipment, this shall be carried out effectively and without
risk to other products stored or distributed.
CLAUSE REQUIREMENTS
16.1 The cleaning area shall be suitably segregated from product storage and handling areas to prevent any
risk of contamination of products.
16.2 The layout of the cleaning area shall ensure the segregation of clean from unclean items.
16.3 Drainage facilities shall be adequate to prevent accumulation of water.
16.4 Ventilation shall be adequate to prevent any risk of condensation forming in product storage areas.
16.5 Equipment used for cleaning shall be well maintained and serviced at a frequency to ensure optimum
performance.
16.6 Where automatic equipment is used, specified limits shall be established for optimum operating
performance, e.g. detergent dosing levels, wash/rinse/drying temperatures, operating speed and
performance monitored to ensure these are achieved.
16.7 The site shall operate procedures to verify that the processes and equipment employed are capable of
meeting the specified requirements of the customer.
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17 WASTE RECOVERY AND RECYCLING
Where the site undertakes to back-haul waste materials/packaging for recycling or disposal on behalf of a
customer, this shall be carried out in a safe hygienic manner in accordance with legal requirements.
CLAUSE REQUIREMENTS
17.1 The company shall clearly specify the types of materials that will be handled and any
exceptions. This information shall be available to the driver.
17.2 The layout of the receiving area for waste materials shall ensure adequate segregation
from product receipt, handling and storage areas.
17.3 Where company-owned or contracted vehicles are used for the collection of waste materials
from the customer:
17.4 The handling of materials received for waste/recycling shall be carried out in a manner which
prevents the risk of contamination of products.
17.5 Waste/recycled materials shall be stored in a manner which does not attract or present
harbourage for pests.
17.6 Where specifications exist from the customer for the waste materials, e.g. levels of purity for
materials for recycling, there shall be processes in place to ensure these are achieved.
17.7 Where the ultimate disposal of materials is governed by legal requirements, these shall be
understood and the site and waste contractors licensed as appropriate.
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PART III
AUDIT
PROTOCOL
INTRODUCTION
1 GENERAL PROTOCOL –
AUDIT PREPARATION
1.1 Selectionofanauditoption 45
1.2 Self-assessmentandpreparation 45
1.3 Selectionofacertificationbody 47
1.4 Scopeofaudit 47
1.5 Auditorselection 49
2 ANNOUNCED AUDIT
PROTOCOL
2.1 Auditplanning 49
2.2 Headofficeandmulti-siteoperations 50
2.3 Durationofauditvisit 52
2.4 Theon-siteaudit 53
2.5 Non-conformitiesandcorrectiveaction 54
2.6 Gradingoftheaudit 55
2.7 Auditreporting 57
2.8 Certification 57
2.9 Ongoingauditfrequencyand
certification 58
3 UNANNOUNCED AUDIT
PROTOCOL: OPTION 1 –
FULL AUDIT
3.1 Auditplanning 59
3.2 Durationofauditvisit 60
3.3 Theon-siteaudit 61
3.4 Non-conformitiesandcorrectiveaction 62
3.5 Gradingoftheaudit 62
3.6 Auditreporting 62
3.7 Certification 62
3.8 Ongoingauditfrequencyand
recertification 62
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4 UNANNOUNCED AUDIT
PROTOCOL: OPTION 2 –
TWO-PART AUDIT
4.1 Auditplanning 63
4.2 Durationofauditvisit 64
4.3 Theon-siteaudits 64
4.4 Non-conformitiesandcorrectiveaction 65
4.5 Gradingoftheaudit 65
4.6 Auditreporting 65
4.7 Certification 65
4.8 Ongoingauditfrequencyand
recertification 65
5 GENERAL PROTOCOL –
POST AUDIT
5.1 Communicationwithcertification
bodies 66
5.2 Extensiontoscope 66
5.3 Certificationwithdrawal 67
5.4 Appeals 67
5.5 Surveillanceofcertificatedcompanies 67
5.6 BRClogos 67
5.7 TheBRCGlobalStandardsDirectory 68
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PART III
INTRODUCTION
This audit protocol provides the specific requirements for auditing and certification to the Global Standard for Storage
and Distribution. It shall be used by the certification bodies undertaking certification and provides the basis for
accreditation bodies when carrying out their own audit and surveillance work of certification bodies seeking
accreditation to operate the Standard. The protocol also provides guidance for companies seeking certification on the
audit and certification process to help prepare and organise for the audit.
Every effort has been made to ensure that the content of the requirements and the audit protocol are accurate at the
time of issue. However, the audit protocol may be subject to minor change, and reference should be made to the BRC
Global Standards website (www.brcglobalstandards.com) for changes to the protocol. The website will also provide
any further interpretations or updates of the Standard should this become necessary during the life of this issue.
Most companies using the Standard wish to be independently assessed to demonstrate that they meet the requirements of the
Standard and obtain certification to the BRC Global Standard scheme. This assessment takes the form of an audit visit which is
carried out by an independent certification body registered with the BRC. The BRC does not carry out audits directly itself.
Certification will be granted following a successful site audit and the completion of action to address non-
conformities to the satisfaction of the certification body.
The process by which a site gains and maintains certification is summarised in Figure 1, and details of the key
process steps for the three audit options are provided in sections 2, 3 and 4.
To gain and maintain certification to the BRC Global Standard for Storage and Distribution, the company must be committed to
ensuring and maintaining compliance with the requirements of the Standard at all times. It is the responsibility of the site to
maintain certification; the certification body may assume responsibility for maintaining the ongoing audit programme.
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● Visit www.brcglobalstandards.com
Learn
● Review any appropriate guidelines
● Ensure information and appropriate personnel are available for the audit even in
Audit the event of an unannounced audit
planning ● Provide information to certification body for audit preparation
● Define audit date and agree duration
● Opening meeting
● Inspection of site/storage facility (where applicable)
● Document review
● Traceability exercise and check of associated records and documentation
On-site ● Vehicle audit (where applicable)
audit ● Final review of findings by auditor
● Closing meeting – review audit findings and confirm any non-conformities
Note that there is no requirement for the auditor to carry out the audit in the
order listed above.
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1 GENERAL PROTOCOL – AUDIT PREPARATION
Successful sites are awarded a certificate with the grade of AA, A, B, C or D depending on the number and
type of non-conformities identified.
More details on the announced audit programme can be found below in section 2.
The conducting of an independent, unannounced review of the production facilities, systems and procedures under this
scheme provides a site’s customers with added confidence in the site’s ability to consistently maintain standards. This may
influence the frequency of customer audits, where conducted, and other performance measures applied by the customer.
There are two options for unannounced audits, which allow companies to decide the one best suited to
their business requirements; the grading and reporting for each is the same. For option 1, the whole
Standard is audited on a single unannounced audit visit, typically lasting 1.5–2 days.
For option 2, the audit visit is split into two separate visits, each typically lasting 1–2 days. The first visit, which is
unannounced, audits predominantly site and vehicle operating standards. The second part of the audit, which is
planned, looks predominantly at the documented systems and records. This approach allows companies to ensure
that appropriate managers are available to assist with the audit of documentation.
The unannounced audit process for options 1 and 2 is summarised in Figure 2. More details on the
unannounced audit programme can be found below in sections 3 and 4.
The Standard should be read and understood and a preliminary self-assessment should be conducted by the company
against the Standard to prepare for the audit. Any areas of non-conformity should be addressed by the site.
Further information, guidance and training to ensure compliance with the Standard, including a downloadable self-assessment
tool, is available at www.brcglobalstandards.com. The BRC Global Standards also has a full range of further guidelines and
supporting materials available through the BRC website and via the BRC Participate subscription service.
An optional on-site pre-assessment may be carried out by the selected certification body in preparation for the
audit to provide guidance to the site on the process of certification. It should be noted, however, that under the
rules for accredited certification, consultancy cannot be provided during any pre-assessment offered by the
certification body that will later undertake the certification audit.
Units that are newly built or commissioned must ensure that systems and procedures in place are compliant before
an initial BRC audit is undertaken. It is at the discretion of the company when they wish to invite a certification body
to carry out an audit; however, it is unlikely that full compliance can be satisfactorily demonstrated at an audit
undertaken less than 3 months from commencement of operation. This is likely to be the situation even where the
site for certification uses quality systems developed by other certificated companies in the group.
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Site decides to join the
unannounced audit scheme
Unannounced Unannounced
scheme (option 1) scheme (option 2)
Audit report and certificate grade issued based on number and type of non-conformities issued
Grade AA+, A+, B+, C+, D+ or Grade AA+, A+, B+, C+, D+ or
uncertificated uncertificated
46 WWW.BRCGLOBALSTANDARDS.COM
1.3 SELECTION OF A CERTIFICATION BODY
• A copy of the audit report and any subsequent certificate or audit result shall be supplied to the BRC and may be
supplied to the accreditation body in the agreed format for the BRC Global Standard used. Other documents in
relation to the audit shall be made available to the BRC upon request. All documents submitted to the BRC shall be
copies of original documents. Documents provided to the BRC will be treated as confidential.
• The auditor(s) may be accompanied by other personnel for training, assessment or calibration purposes. This
activity may include:
• training of new auditors by the certification body
• routine certification body shadow audit programmes
• witness audits by accreditation bodies
• witness audits by the BRC.
The BRC Global Standards team reserves the right to conduct its own audit or visit to a site once certificated in
response to complaints or as part of the routine BRC Global Standards compliance activity to ensure the integrity
of the scheme. Such visits may be announced or unannounced.
The BRC Global Standards team may contact the site directly in relation to its certification status or for feedback on
certification body performance, or investigation into reported issues.
This publication sets out the requirements for sites that want to apply to be audited against the Standard and for sites
issued with a certificate. Contracts between the certification body and the site shall include a clause acknowledging
these obligations. This contract will be formulated by the certification body.
Non-compliance with any of these contractual obligations may affect the status of certification of the site.
In order to define the activities to be audited and define the scope for certification, the certification body will need to
clearly understand the company to be audited and activities undertaken. This may be carried out via questionnaire,
discussion or pre-audit meeting with the company’s management. This planning process shall include establishing a
full understanding of the company’s activities including, where applicable:
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• the operational management structure of the company – i.e. where more than one facility is involved, the role of
head office or regionalised systems in meeting requirements of the Standard
• the location of the company’s sites and, where the company operates from more than one location, the inter-
relationships between different locations and the site(s) to be audited
• any subcontracting arrangements, e.g. for distribution vehicles
• any limitations on distribution activities imposed by customers, e.g. where loading or unloading is not carried
out by the distribution company
• any cross-docking or product transfer activities undertaken during distribution
• the nature of any additional contracted services to be included within the scope
• the range of products handled and any particular special handling requirements
• any activities which occur only for limited periods each day, e.g. order picking and loading.
The scope of the audit and subsequent certificate shall generally cover all the activities and product categories permitted
within the scope of the Standard. By exception, certain activities or products may be excluded from the scope where this
is agreed before the audit. Any exclusions that apply shall be clearly stated on the report and certificate.
The exclusion of product categories handled at a site will only be acceptable where:
• the excluded product categories can be clearly differentiated from the product categories within scope and
• the product categories are stored in a physically segregated area of the factory.
Where exclusions are requested these shall be agreed with the certification body in advance of the audit and
considered in the certification body contract review process. Exclusions shall be clearly stated on the audit report
and certificate and the justification recorded on the audit report.
The certification of products must include audit of the entire process (e.g. from goods intake to delivery to customer). It is not
possible to exclude parts of the process undertaken. Where exclusions are accepted, the auditor(s) shall assess any hazards
presented by excluded areas or product categories (e.g. the introduction of allergens or foreign-body risks) and non-conformities
may be raised relating to the excluded area where this poses a risk to the product categories within the audit scope.
Where a company operates wholesale activities or contracted services, these may be excluded as they are voluntary
elements of the Standard.
• the product categories handled (e.g. chilled food, frozen food, ambient food, packaging materials, textiles,
electrical products etc.)
• the service activities included (i.e. storage, distribution, transport only, wholesale, identified contracted services)
• exclusions from scope (i.e. any products handled or activities undertaken at the site but not included in the
audit scope). Where there are no exclusions the report/certificate shall say ‘none’.
Distribution can only be included within the scope if some or all of the distribution vehicles are directly managed by
the site. It is accepted that often sites will use subcontractors to supplement their own fleet, particularly at times of
peak demand. The subcontracting arrangements will be assessed against clauses in Part II, section 3.5.2.
Where the loading and/or unloading of vehicles is carried out by the customer and not by the distribution company,
these activities will be outside the scope of the audit. In such circumstances the scope shall include the wording
‘transport only’ instead of ‘distribution’ and the exclusions from scope shall include the loading/unloading of vehicles.
48 WWW.BRCGLOBALSTANDARDS.COM
1.4.4 Exclusion of requirements
Where companies operate only storage facilities and the distribution is managed by a third party not under the
company’s direct control, then many of the vehicle requirements in Part II, section 5 (Vehicle operating standards)
would not apply. If, however, the site subcontracts the distribution, then the requirements of section 5 should be
included within the subcontracted arrangements with each distribution company.
Where companies operate only distribution activities, some elements of Part II, section 4 (Site and building
standards) may not apply.
The auditor shall assess whether a clause is applicable and will indicate this in the report.
The certification body, auditors and the site must be aware of the need to avoid conflict of interest when arranging for
an auditor(s) to visit the site. The site may decline the services of a particular auditor offered by the certification body.
The same auditor is not permitted to undertake audits on more than three consecutive occasions at the same site.
Where the audit is not being carried out by the auditor(s) in the native language of the site, an appropriate
translator shall be provided having knowledge of the technical terms used during the audit.
Before any audit, the site is required to review the Standard and make any necessary amendments or improvements to its
own operations and systems. The site may also be required to provide the certification body with background information
through the completion of either a pre-audit questionnaire or a pro-forma information sheet. The site should provide the
certification body with any information that would assist the auditor in preparing an effective audit, such as hazard and risk
analysis documentation, details of its organisational structure and site plan, and any relevant performance data.
The site is required to make the previous audit report available to the auditor and the certification body.
There is a requirement to plan carefully for the audit, to have appropriate documentation for the auditor to assess, and to
have appropriate staff available at all times during the audit. The site shall ensure that where key activities occur only at
particular times of day, the certification body is made aware of this to enable it to plan the audit activity accordingly.
The site shall ensure that the activities undertaken at the time of the audit represent activities included within the
scope. Where possible, the widest range of these activities shall be in operation for the auditor to assess. Where the
range of activities is large or diverse, the auditor has the discretion to continue the audit until sufficiently satisfied that
the intended scope of the certification has been assessed.
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2.1.2 Information to be provided to the certification body for audit preparation
The site shall supply the certification body with background information prior to the audit day to ensure the
auditor(s) is fully prepared and to provide the best opportunity for the audit to be completed efficiently. The
information will be requested by the certification body and may include but is not limited to:
• work schedules, to allow audits to cover relevant processes (e.g. night-time operation or dispatches that are not
carried out each day)
• number of vehicles in operation and when vehicles will be on site
• recent quality issues, withdrawals or customer complaints and other relevant performance data.
The company shall make the previous year’s audit report and certificate available to the certification body, where this
is a contract with a new certification body.
In order to complete the audit process and be in a position to issue a certificate, the auditor shall assess all applicable
requirements of the Standard. This may necessitate separate audit visits to a head office and the site to be
certificated to complete the audit, or it may be possible to access documentation held at head office from the site.
Where a company has several storage/distribution sites seeking certification, all of which are operating to a centralised
system managed at a head office, it is normal for a separate audit of the head office function to be undertaken. Figure 3
provides an example of an audit process flow for a head office with multiple storage/distribution sites.
In such circumstances the certification body will develop a full audit plan that includes the activities of the head
office and all its participating sites. The initial audit shall be of the head office, and any non-conformities identified
shall be corrected to the satisfaction of the certification body before undertaking the site audits. Any uncorrected
non-conformities shall be carried over and included in subsequent site audit reports.
The site audit reports shall provide a complete commentary on how the requirements of the Standard are met,
including those activities audited at the head office.
The head office of the company shall be visited annually. Re-audits of individual sites under the head office’s
control are performed at a frequency dependent on the previous audit performance of that particular site.
Certificates cannot be issued for head office operations. Separate reports and, where appropriate, individual
certificates shall be issued for each site.
For the purposes of this Standard the separate buildings may be classed as a single ‘site’ where all of the following criteria are satisfied:
All locations classified as part of a single site shall be audited at each audit. The addresses of all locations shall be
included on the certificate or on an addendum to this and shall be identified in the audit report.
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PART III AUDIT PROTOCOL
Review of group structure
Head offi ce and site responsibilities
No non-conformities identifi ed
Non-conformities identifi ed or
Not acceptable
Site audits
Certifi cate issued to site Certifi cate issued to site Certifi cate issued to site
FIGURE 3 AUDIT PROCESS FLOW FOR A HEAD OFFICE WITH MULTIPLE SITES
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Where cross-docking/trans-shipment activities are included, the location for this activity must meet the requirements
defined in the site standards and be included in the audit programme.
• products are received into the satellite depot only from the hub
• management systems for the satellite depot are the same as at the hub
• management responsibility for the satellite depot rests with a manager of the hub depot.
Where these circumstances are met, the satellite depot shall receive an audit visit but as part of the hub depot
audit and may therefore be included within the report and certificate of the hub depot.
Where these circumstances are not met, the satellite shall receive its own full audit and receive a separate audit report and
certificate, where applicable. Satellite depots may also choose to be audited and certificated as separate sites.
Although it is recognised that the duration of an audit is typically 1.5 working days, certain factors may necessitate
an increase or decrease in the duration of the audit. These factors will require careful consideration, both upon
confirmation of the expected duration of the audit and during the audit itself.
In some cases, certification bodies may request documentation for review prior to the audit visit. The time required
to assess this documentation is in addition to the duration of the audit visit.
• more than one location, with separate office and storage sites
• any need to witness the unloading of vehicles or to accompany drivers
• the use of contracted services
• a large, widely dispersed site
• high numbers of site staff
• the first visit by the auditor to the site
• the audit not being carried out in the first language of the auditor
• a high number of non-conformities recorded at the previous audit
• difficulties experienced during the audit that require further investigation
• an ill-prepared site or poorly coordinated documentation.
The audit covers both systems and their implementation. A significant proportion of the audit (typically no less than 3
hours) will be spent in and around the storage area reviewing operations, inspecting vehicles and interviewing staff.
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Where distribution is included within the scope, the certification body must be satisfied that adequate evidence is available
Before the audit visit takes place, the certification body shall indicate the approximate duration of the audit.
Confirmation of the duration of the audit shall be made by an appropriately authorised employee of the certification
body, with reference to the factors specified above.
Deviation from the expected audit timeframe must be justified and specified on the audit report.
• inspection of site or storage facility (where applicable) – to review practical implementation of the systems, and
interview of personnel
• vehicle audit (where applicable) of a sample number of vehicles – to review practical implementation of the
systems, and interview of personnel
• traceability exercise and check of associated records and documentation – this is a vertical audit, as specified
within the BRC guidance document on auditing techniques
• final review of findings – conducted by the auditor in preparation for the closing meeting
• the closing meeting – to review audit findings with the site. (Note that non-conformities are subject to subsequent
independent verification by the certification body management.)
The auditor shall allocate sufficient time to ensure that appropriate attention is given to the document review and the site and
vehicle inspection. The site and vehicle inspection process shall typically take a minimum of 3 hours to complete.
It is expected that at the opening and closing meetings, those attending on behalf of the site will be senior managers who have the
appropriate authority to ensure that corrective action can be progressed in the event of non-conformities being found.
During the audit, detailed notes shall be made regarding how the site conforms to the Standard and any non-conformity identified.
These notes will be used as the basis for the audit report. The auditor will assess the nature and significance of any non-
conformity and shall discuss this with the accompanying manager at the time. At the closing meeting, the auditor shall present
their findings and discuss all non-conformities that have been identified during the audit. The site shall receive clear instructions on
the type of evidence that will need to be provided to demonstrate the correction of any non-conformities and the timescale for the
presentation of the evidence. The auditor is not permitted to provide specific advice on the corrective action to be taken as this
constitutes consultancy work. A written summary of the non-conformities discussed at the closing meeting shall be provided either
at the closing meeting or within 1 working day of completion of the audit.
At the closing meeting the auditor(s) shall provide the site with an explanation of the BRC Global Standards Directory,
which allows secure access to audit data to both the client and their nominated customers, together with the feedback
systems available to communicate with the certification body and with the BRC Global Standards team.
The decision to award certification and the grade of the certificate will be determined independently by the
certification body management, following a technical review of the audit report and the closing of non-conformities
in the appropriate timeframe. The company will be informed of the certification decision following this review.
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2.5 NON-CONFORMITIES AND CORRECTIVE ACTION
2.5.1 Non-conformities
The level of non-conformity assigned by an auditor against a requirement of the Standard is an objective judgement
with respect to severity and risk and is based on evidence collected and observations made during the audit. The
level assigned is verified by the certification body management.
• Critical Where there is a critical failure to comply with a product safety or legal compliance issue
• Major Where there is a substantial failure to meet the requirements of a statement of intent or any clause of the
Standard, or where a situation is identified which would, on the basis of available objective evidence, raise
significant doubt as to the conformity of the product or services being supplied
• Minor Where a clause has not been fully met but, on the basis of objective evidence, the conformity of the
product is not in doubt.
As the objective of the audit is to provide a true reflection of the standard of the operation and level of conformity
against this Standard, consideration should therefore be given to awarding a single major non-conformity where
minor non-conformities are repeatedly raised against a particular clause of the Standard. Clustering of a significant
number of minor non-conformities against a clause and recording this as a single minor non-conformity is not
permitted. The certification body shall justify a high number (more than 20) of minor non-conformities where no more
than one major non-conformity is given. This shall be detailed on the audit report.
All identified non-conformities must be corrected to the satisfaction of the certification body before a certificate can
be issued. In circumstances where it is not possible to effect a permanent solution within the timescale for
certification, a temporary solution may be accepted by the certification body.
The process for ‘closing out’ non-conformities depends upon the level of non-conformity and the number of non-
conformities identified.
The grading of non-conformities will be reviewed by the independent certification process of the certification body
as soon as possible after the audit. Where the review confirms that a certificate cannot be awarded, the site will be
required to undertake another full audit before assessment for certification.
Due to the nature and number of non-conformities, it is unlikely that these non-conformities can be addressed and
fully effective improvements implemented and established within a 28-day period – although there may be some
exceptions. Therefore, the re-audit shall not take place any earlier than 28 days from the audit date.
It is a requirement of some customers that they shall be informed when their suppliers have a critical non-conformity
identified or fail to gain certification. In such circumstances the company shall immediately inform its customers and
make them fully aware of the circumstances. Information on the corrective actions to be taken in order to address
the non-conformities will also be provided to customers where required.
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Major and minor non-conformities
For each non-conformity raised, the site shall, in addition to undertaking the necessary immediate corrective action,
undertake a review of the underlying cause (root cause) of the non-conformity. The root cause shall be identified and
an action plan to correct this, including timescale, shall be provided to the certification body. The proposed preventive
action shall be included in the audit report.
Close-out of non-conformities can be achieved either by objective evidence being submitted to the certification
body, such as updated procedures, records, photographs or invoices for work undertaken, or by the certification
body undertaking a further on-site visit.
If satisfactory evidence is not provided within the 28 calendar-day period allowed for submission following the audit,
certification will not be granted. The site will then require a further full audit in order to be considered for certification.
Non-conformities from the audit shall also be checked during the next site audit to verify effective close-out of
the non-conformities and their root causes. Where the correction has been ineffective then a non-conformity
shall be raised against clause 1.1.11 in Requirements.
The certification body will review objective evidence of the corrective action completed prior to awarding a certificate.
• For initial audits Satisfactory corrective action shall be taken and this shall be reviewed and a decision taken
on its acceptability within 90 calendar days of the audit date in order for a certificate to be issued. If this
timescale cannot be met, a full re-audit will be required before a certificate may be issued.
• For certificated sites Satisfactory corrective action shall be taken and this shall be reviewed and a decision taken
on its acceptability within 28 calendar days of the audit date in order for a certificate to be issued. If this timescale
cannot be met, a full re-audit will be required before a certificate may be issued.
2.6.1 Revisits
Where a revisit is required to review the action taken in response to the non-conformities identified at the audit, this will
be scheduled to be completed within the timescales for certification – i.e. 28 calendar days for certificated sites, and 90
calendar days for initial audits. The visit will primarily review the effectiveness of the corrective actions taken; however,
if new non-conformities are identified during the course of the visit, these must also be satisfactorily resolved before a
certificate can be issued. The action taken to correct the non-conformity will be recorded on the final audit report.
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TABLE 1 AUDIT GRADES, NON-CONFORMITIES AND CORRECTIVE ACTIONS REQUIRED
GRADE GRADE CRITICAL MAJOR MINOR CORRECTIVE ACTION AUDIT FREQUENCY
ANNOUNCED UNANNOUNCED
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2.7 AUDIT REPORTING
• audit details
• audit summary
• non-conformity and corrective action summary
• explanation of clauses assessed as non-applicable
• checklist of compliance with each clause.
The audit details, non-conformity and corrective action summaries shall be written in English to enable this information
to be uploaded to the BRC Directory. This information may also be presented in another language where requested.
The audit summary section shall be in open-text format, in English (or in the language specified by the user) and shall
provide a comprehensive summary of how the site complies with the requirements of each section of the Standard.
The certification body shall retain records showing how sites have complied with each clause of the Standard; while this
information does not have to be reproduced in full in the final report, it shall be retained and made available on request.
Reports shall be prepared and dispatched to the site and a copy uploaded onto the BRC Directory within a period
typically no longer than 42 calendar days after the audit date (104 calendar days for initial audits).
Audit reports shall remain the property of the company commissioning the audit and shall not be released, in whole
or part, to a third party unless that company has given prior consent (unless otherwise required by law). Consent
may be given either by a consent form, by authorising access directly on the BRC Directory, or it may be contained
within a contract between the site and user or the site and the certification body.
The certification body will retain a copy of the audit report. The audit report and associated documentation shall be
stored safely and securely for a period of 5 years by the certification body.
2.8 CERTIFICATION
After a successful outcome of the audit process, a certificate shall be issued by the certification body. Certificates shall be
prepared and dispatched to the site typically within 42 calendar days of the audit date (104 calendar days for initial certification).
The certificate shall conform to the format shown in Appendix 3. BRC and accreditation body logos shall comply with
the rules for their use.
• certification body name and address (and accreditation body registration number)
• name, address and BRC registration number of the site audited and certificated
• certification standard, i.e. BRC Global Standard for Storage and Distribution Issue 3
• scope of certification activities – storage, distribution (or transport only), wholesaling, contracted services
(followed by the services, e.g. waste recovery and recycling etc.)
• the audit option chosen (i.e. announced) or whether the certificate is a re-issue for an extension to scope
• product categories – range of actual products covered (e.g. ambient foods, electrical products etc.)
• specific exclusions from scope – either stated as ‘none’ or, where activities are undertaken or products are
handled on site that have been excluded, a description of the activities or actual products excluded
• date of audit
• certificate issue date
• re-audit due date
• certificate expiry date
• authorising signature.
All dates specified on the certificate shall be the format of day, month, year – e.g. 11 November 2017.
In some instances a company may own several storage facilities at different addresses within a town, or a sub-depot
may have been included within the audit programme for the main depot (see Audit Protocol, section 2.2). In the event
that one or more premises are audited as one site, the report and the certificate shall clearly indicate the locations
which have been audited and are included, and any locations not audited and excluded.
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The users of certificates should validate their authenticity on the BRC Directory website (www.brcdirectory.com) and ensure
that the scope and the information on the certificate are clearly stated and assessed against their own requirements.
The certificate is issued to the site; however, it remains the property of the certification body and is subject
to control regarding its use and display.
Subsequent audits of certificated sites shall be carried out either 6, 12 or 18 months after the previous audit due date
according to the number and type of non-conformities identified at the previous audit (see Table 1).
The due date of the subsequent audit shall be calculated from the initial audit, irrespective of whether further site
visits were made to verify corrective actions arising from the previous audit, and not from the certificate issue date.
The subsequent audit shall be scheduled to occur within a 28-calendar-day time period up to the next audit due date.
This allows sufficient time for corrective action to take place in the event of any non-conformities being raised,
without jeopardising continued certification.
Table 2 provides worked examples in accordance with the 12- and 18-month audit frequencies.
It is the responsibility of the site to maintain certification. Where an audit is delayed beyond the due date, and as a
result the existing certificate expires before a new certificate can be issued, the audit shall be classified as an initial
audit and the next audit due date shall be within 12 months irrespective of the audit result.
The site shall be responsible for maintaining valid certification, while the certification body may assume
responsibility for maintaining the ongoing audit programme.
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2.9.2 Certificate expiry – justifiable circumstances
• situated in a specific country or an area within a specific country where there is government advice to not visit
and there is no suitable local auditor
• within a statutory exclusion zone that could compromise product safety
• in an area that has suffered a natural or unnatural disaster, rendering the site unable to produce or the auditor unable to visit
• affected by conditions that do not allow access to the site or restrict travel (e.g. heavy snow).
Moving the audit date to a more ‘acceptable’ later date for reasons of combining audits, lack of personnel or
undertaking building work are not acceptable reasons for missing the due date.
It is not a justifiable reason to delay audits where sites are not in full operation; however, audits must be undertaken
while activities are taking place.
If the renewal of the certificate is prevented due to these exceptional circumstances, the customer may still decide
to take products or procure services from that site for an agreed time, as customers may be able to demonstrate
legal compliance by other means, such as risk assessment and complaints records, to show that the site is still
competent to continue operation until another audit can be arranged.
In some circumstances it is possible to undertake the audit earlier than this due date – for example, to allow a
combined audit with another scheme. Where an audit date is brought forward, the following rules shall apply:
• the audit report will detail the reasons why an audit has been brought forward
• the audit due date will be ‘reset’ to be 12 months from this audit date
• the certificate shall be issued with an expiry date of 12 months (or 18 months, depending on the products being
handled) + 42 days from the ‘new’ audit date.
Success at an unannounced audit relies upon the ability of the site to share information and knowledge within the
site, to have effective deputies to cover in the absence of a particular manager, and a shared responsibility within
the management team for product safety and compliance with the Standard.
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• the process flow diagram
• a simple site plan
• the management organisational chart
• the list of product categories handled and/or service activities included within the audit scope
• typical shift patterns
• work schedules, to allow audits to cover relevant processes (e.g. night-time operation or dispatches that are not
carried out each day)
• number of vehicles in operation and when vehicles will be on site
• recent quality issues, withdrawals or customer complaints and other relevant performance data.
The site shall make the previous year’s audit report and certificate available to the certification body, where this is a
contract with a new certification body.
As the audit will be unannounced it is likely that the certification body will also require additional information to
plan for the logistics of the audit process. This may include:
Days when the site is not operating (e.g. weekends, public holidays, planned shutdowns for site holidays or maintenance) are not
included within the 15 days. Any such days shall be notified to the certification body when opting into the unannounced scheme.
It is a condition of electing to join the unannounced scheme that the auditor shall be granted access to the site for the
audit on arrival. If access is denied the site will be liable for the auditor’s costs and will revert to the announced audit
scheme. At the discretion of the certification body, the existing certificate may also be suspended or withdrawn.
The typical duration of an audit is 1.5 days (maximum 8 hours/day) at the site. Factors that may lengthen the
duration of the audit include:
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• the exclusion of distribution from the scope of a storage site
The expected audit duration shall be notified to the site by the certification body in advance of the audit.
Deviation from the expected audit timeframe must be justified and specified on the audit report.
The site shall fully assist the auditor(s) at all times. It is expected that at the opening and closing meetings those
attending on behalf of the site will be senior managers who have the appropriate authority to ensure that corrective
action can be progressed if non-conformities are found. The most senior operations manager on site or their
nominated deputy shall be available at the audit and attend the opening and closing meetings.
During the audit, detailed notes shall be made regarding the site’s conformities and non-conformities against the
Standard and these will be used as the basis for the audit report. The auditor(s) shall assess the nature and
severity of any non-conformity and shall discuss this with the accompanying manager at the time.
At the closing meeting, the auditor(s) shall present their findings and reconfirm all non-conformities that have been
identified during the audit, but shall not make comment on the likely outcome of the certification process. Information
on the process and timescales for the site to provide evidence to the auditor(s) of the corrective action to close non-
conformities must be given. A written summary of the non-conformities discussed at the closing meeting will be
documented by the auditor either at the closing meeting or within one working day after completion of the audit.
At the closing meeting the auditor(s) shall provide the site with an explanation of the BRC Directory which allows
secure access to audit data to both the client and their nominated customers, together with the feedback systems
available to communicate with the certification body and with the BRC Global Standards team.
The decision to award certification and the grade of the certificate will be determined independently by the
certification body management, following a technical review of the audit report and the closing of non-conformities
in the appropriate timeframe. The company will be informed of the certification decision following this review.
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3.4 NON-CONFORMITIES AND CORRECTIVE ACTION
Non-conformities and corrective actions are the same as for the announced scheme (see section 2.5).
The site shall either be certificated or not certificated based on the number of non-conformities and the ability to
close them out. The grade awarded shall be based on the number and level of non-conformities, as outlined in
Table 1. Note that the grade will have the addition of a plus symbol after the grade (i.e. AA+, A+, B+, C+ or D+).
3.7 CERTIFICATION
The certification requirements are the same as for the announced audit scheme (see section 2.8); however, the
certificate shall state ‘Unannounced option 1’.
This certificate will supersede the existing certificate. The certificate shall be issued within 42 days of the audit and
will have an expiry date based on the expiry date of the previous certificate plus 12 months, providing the site remains
within the unannounced audit scheme. If the site decides to return to the announced audit programme, the certificate
expiry date will be based on the date of the unannounced audit.
This ensures that where the audit occurs before the expiry of the current certificate and the site remains within the
unannounced scheme, it is not disadvantaged by a shorter certificate life and increased frequency of audits.
If the site wishes to remain in the option 1 programme the next audit will be unannounced. The audit may occur at any
stage from 3 months after the last audit date through to 42 days prior to the certificate expiry date; however, this shall
typically be within the last 4 months of the certification cycle. This allows sufficient time for corrective action to take
place in the event of any non-conformities being raised without jeopardising continued certification.
It is the responsibility of the certification body to ensure that the audit is undertaken within the certification window.
If the site opts to move to the unannounced option 2 programme the rules for that programme will apply and the
announced systems audit will occur within the 28-day window based on the initial audit date.
If the site wishes to withdraw from the unannounced audit programme, the next audit will be scheduled to occur within
the 28 days up to and including the anniversary of the last audit date; this ensures that the maximum time between
audits is not more than a year.
The planned part 2 audit allows this part of the audit to be combined with other planned certification audits where
these are used to reduce audit costs.
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4.1 AUDIT PLANNING
The unannounced part 1 audit shall occur at any stage between months 6 and 10 of the audit cycle (i.e. 2 to 6 months
before the audit due date). This allows sites to correct any non-conformities identified at the audit to enable these to
be reviewed at the part 2 audit.
The part 2 audit of documentation and records shall be planned to occur in the 28 days up to and including the
anniversary of the last audit date (i.e. in the same time window as an announced audit). The date for this audit is
agreed with the site in advance of the audit.
Success at an unannounced audit relies upon the ability of the site to share information and knowledge within the
site, to have effective deputies to cover in the absence of a particular manager, and a shared responsibility within
the management team for product safety and compliance with the Standard.
The site shall ensure that the activities at the time of the audit cover those for the intended scope of the certification.
Where possible, the widest range of activities shall be undertaken for the auditor(s) to assess. Where a product
category or activity was not viewed at the time of the part 1 unannounced audit, then every effort should be made to
ensure this activity is taking place for the part 2 audit.
Where a significant activity is undertaken only during a different period of the year from either audit, a further
separate audit will be required to assess that activity.
Days when the site is not operating (e.g. weekends, public holidays, planned shutdowns for site holidays or
maintenance) are not included within the 10 days. Any such non-activity days shall be notified to the certification
body when opting into the unannounced scheme.
It is a condition of electing to join the unannounced scheme that the auditor shall be granted access to the site for the
audit on arrival. If access is denied the site will be liable for the auditor’s costs and will revert to the announced audit
scheme. At the discretion of the certification body, the existing certificate may also be suspended or withdrawn.
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4.2 DURATION OF AUDIT VISIT
Sufficient information shall have been provided to the certification body when selecting this option to allow for the selection of an
auditor(s) with the correct product category qualifications and to allow sufficient time for the audit. The same total time shall be
allowed for the unannounced audit option 2 (parts 1 and 2) as would be expected for the usual announced audit. The time for the
part 2 audit may be adjusted based on the findings from the unannounced part 1 audit; for instance, more time may be required if
there are a large number of non-conformities with corrective actions to review following the part 1 audit.
The typical total audit duration is 1.5 days (8 hours/day) at the site with the time divided evenly between the part 1
and part 2 audits. If additional storage facilities, locations or head office assessments are included within the audit
process, then additional time shall be allocated for this.
Additional time will be required for the review of any documentary evidence provided and completion of the final audit report.
The expected audit duration shall be notified to the site by the certification body in advance of the audit.
Deviation from the expected audit timeframe must be justified and specified on the audit report.
• the closing meeting – to review audit findings with the site. (Note that non-conformities are subject to subsequent
independent verification by the certification body management.)
The site shall fully assist the auditor(s) at all times. It is expected that at the opening and closing meetings those
attending on behalf of the site will be senior managers who have the appropriate authority to ensure that corrective
action can be progressed if non-conformities are found. The most senior operations manager on site or their
nominated deputy shall be available at the audit and attend the opening and closing meetings.
During both parts of the audit, detailed notes shall be made regarding the site’s conformities and non-conformities
against the Standard and these will be used as the basis for the audit report. The auditor(s) shall assess the
nature and severity of any non-conformity.
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At the closing meetings the auditor(s) shall present their findings and reconfirm all non-conformities that have been identified
At the final closing meeting the auditor(s) shall provide the site with an explanation of the BRC Global Standards
Directory, which allows secure access to audit data to both the client and their nominated customers, together with the
feedback systems available to communicate with the certification body and with the BRC Global Standards team.
The decision to award certification and the grade of the certificate will be determined independently by the
certification body management, following a technical review of the audit report and the closing of non-conformities
in the appropriate timeframe. The company will be informed of the certification decision following this review.
Evidence of the action taken to correct non-conformities identified at the part 1 audit shall be submitted to the
certification body within 28 days of the part 1 audit and will be subject to further review at the part 2 audit.
If a critical non-conformity and/or the number and level of non-conformities identified at the part 1 audit would result
in the failure to achieve a certificate, the existing certificate for the site shall be immediately withdrawn.
The grade awarded following certification shall be based on the number and level of non-conformities, as outlined in
Table 1. Note that the grade will have the addition of a plus symbol after the grade (i.e. AA+, A+, B+, C+ or D+).
The grade awarded is based on the combination of non-conformities identified at the part 1 and the part 2 audits.
Although the non-conformities identified on the part 1 audit should have been corrected before the part 2 audit,
these shall be included in calculating the grade.
The full audit report will include information and non-conformities identified at both the part 1 and part 2 audits. The
final report will not be produced until after completion of the part 2 audit.
4.7 CERTIFICATION
The certification requirements are the same as for the announced audit scheme (see section 2.8). However, the
certificate shall state ‘Unannounced option 2’.
This certificate will supersede the existing certificate. The certificate shall be issued within 42 days of the part 2 audit
and will have an expiry date based on the expiry date of the previous certificate plus 12 months, providing the site
remains within the unannounced audit scheme. If the site decides to return to the announced audit programme, the
certificate expiry date will be 6, 12 or 18 months, depending upon the scope of the audit.
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If the site wishes to remain in the option 2 programme, the audits will be undertaken as indicated by the audit
planning rules above.
If the site opts to move to unannounced option 1, the rules for that programme will apply and the full unannounced
audit will occur between 3 and 12 months after the initial audit date.
If the site wishes to withdraw from the unannounced audit programme, the next audit will be scheduled to occur within
the 28 days up to and including the audit due date indicated on the certificate.
It is the responsibility of the certification body to ensure that the unannounced part 1 audit is undertaken within the
audit window. It is the responsibility of the company to ensure that the announced part 2 audit takes place within the
certification window to avoid the late audit non-conformity clause (1.1.10).
The certification body in turn shall take appropriate steps to assess the situation and any implications for the
certification, and shall take any appropriate action.
Information shall be provided to the certification body by the site on request so that an assessment can be made as
to the effect on the validity of the current certificate.
Changes to the certification status of a site shall be recorded in the BRC Global Standards Directory.
Where an extension to scope is required shortly before the certificate is due to expire, it may be more appropriate to
undertake a full audit and issue a new certificate. This option should be agreed between the certification body and
their client prior to undertaking the extension to scope audit.
When a revisit is considered necessary, the duration of this visit will vary depending on the aspects to be examined for
the required extension to scope. The site visit should be conducted along the same principles as the original audit (i.e.
including an opening meeting, inspection of the operation of the process, documentation trails and closing meeting). The
revisit should be announced, irrespective of whether the site is certificated to the announced or unannounced scheme.
Identified non-conformities should be documented and actioned within the normal protocol of the Standard (i.e. the company has 28
days to provide appropriate evidence of close-out and the certification body should review the information and confirm the
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certification decision in the normal manner). The additional non-conformities raised at the site visit will affect neither
A visit report should be documented, but shall not be in the format of a standard BRC audit report. A short
explanation of the nature of the visit, what was audited and the conclusions should be given. The visit report should
document what controls are in place and confirm the effectiveness of these controls. It should be clear in the report
what aspects were looked at and what was excluded.
The site’s current certificate will be superseded by any new certificate issued. The certificate must use the same expiry date as
detailed on the original certificate. The due date of the next full audit will therefore remain the same and this should be made clear
to the supplier by the certification body when arranging extension to scope visits. The grade shall also remain the same.
The certificate should include identification that it was a scope extension and the date of the visit.
• evidence that the site no longer complies with the requirements of the Standard, raising significant doubt over
its operating standards and product safety
• failure to implement adequate corrective action plans within appropriate timescales
• evidence of falsification of records.
5.4 APPEALS
The company has the right to appeal the certification decision made by the certification body and any appeal should
be made in writing to the certification body within 7 calendar days of receipt of the certification decision.
The certification body shall have a documented procedure for the consideration and resolution of appeals against
the certification decision. These investigative procedures shall be independent of the individual auditor and
certification manager. Individual certification bodies’ documented appeals procedures will be made available to the
site on request. Appeals will be finalised within 30 calendar days of receipt. A full written response will be given
after the completion of a full and thorough investigation into the appeal.
In the event of an unsuccessful appeal, the certification body has the right to charge costs for conducting the appeal.
Any non-conformities identified at a visit must be corrected and closed out within the normal protocol (i.e. within 28 days of the
visit), and reviewed and accepted by the certification body. If there is no intention on behalf of the site to take appropriate
corrective actions or the corrective actions are deemed inappropriate, certification shall be withdrawn. The ultimate decision to
suspend or withdraw certification remains with the certification body. Any change in certification status shall be notified to the
BRC by the certification body and the status in the BRC Global Standards Directory amended accordingly.
In the event that certification is withdrawn or suspended by the certification body, the company shall immediately inform its
customers and make them fully aware of the circumstances relating to the withdrawal or suspension. Information on the
corrective actions to be taken in order to reinstate certification status should also be provided to customers.
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If a site is no longer certificated because of certificate expiry, withdrawal or suspension it shall no longer use the logo
or certificate claiming certification.
The BRC logo is not a product certification mark and shall not be used on products or product packaging. Any
certificated site found to be misusing the mark will be subject to the BRC complaints/referral process (see Part IV)
and may risk suspension or removal of its certification.
The BRC logo may not be used by companies that do not include all products within the audit scope.
The directory holds full copies of all audit reports in read-only PDF. This includes archived audit documents from 2008 onwards.
Certification bodies are responsible for maintaining site name, address, audit content and certificate status. All
certification bodies are assessed and graded by the BRC on how quickly and accurately they update audit data.
The directory also features a publicly accessible search function which displays certification data only. The public
directory lists only currently certificated sites, not those expired or withdrawn.
Sites wishing to be excluded from public listing should contact their certification body.
A site code is created when a site is audited for the first time and remains unchanged regardless of
subsequent auditing certification bodies or audit status.
Site codes are located on the top right-hand corner of the first page of the audit report and on the corresponding certificate.
The listing for any certificated site can be located in the public directory by adding the site code to the ‘Site Code’
search field. If no results are returned for a search, contact the BRC to confirm certification authenticity.
When audit sharing is set up, customers can access full current, archived and future audit documents (as they
become available) without any further administration.
An audit owner can cancel sharing at any time. All sharing changes take immediate effect.
Audit documents shared in the directory cannot be edited or doctored by the audit owner. As such, audits
obtained via the directory can be considered as complete and authenticated.
Notifications are via automated email and can be turned off if not required.
For further information on the directory or audit sharing, contact the BRC Directory
Services team via [email protected]
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PART IV
MANAGEMENT
AND
GOVERNANCE
REQUIREMENTS FOR
CERTIFICATION BODIES
TECHNICAL GOVERNANCE
OF THE GLOBAL STANDARD
International advisory boards 70
Technical advisory committee 72
The certification body co-operation groups 72
ACHIEVING CONSISTENCY –
COMPLIANCE
Calibrating auditors 73
Feedback 73
Complaints 73
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PART IV
MANAGEMENT AND
GOVERNANCE
In order for a business to receive a valid certificate on completion of a satisfactory audit, the organisation must
select a certification body approved by the BRC. The BRC lays down detailed requirements that a certification body
must satisfy in order to gain approval.
As a minimum, the certification body must be accredited to ISO/IEC 17065 by a national accreditation body
affiliated to the International Accreditation Forum and recognised by the BRC.
Further details are available in the document Requirements for Organisations Offering Certification against the
Criteria of the BRC Global Standards, available from the BRC on request.
Companies looking to become certificated to the Standard should assure themselves that they are using a genuine
certification body approved by the BRC. A list of all certification bodies approved by the BRC is available on the
BRC Global Standards Directory: www.brcdirectory.com
The BRC recognises that in certain circumstances, such as for new certification bodies wishing to commence auditing against the
Global Standard for Storage and Distribution, accreditation may not yet have been achieved. This is because the accreditation
process itself requires some audits to have been completed which will then be reviewed as part of accreditation audit of the
certification body. The certification body must be able to conduct audits as part of achieving accreditation and so some
unaccredited audits will be performed. This will be permitted where the organisation can demonstrate:
• an active application for accreditation against ISO/IEC 17065 from an approved national accreditation body
• that accreditation will be achieved within 12 months of the date of application and the experience and
qualifications of the auditors in the relevant product category are consistent with those specified by the BRC
• that a contract is in place with the BRC and all other contracted requirements have been met.
The acceptability of audit reports generated by certification bodies awaiting accreditation but meeting the above
criteria is at the discretion of individual specifiers.
The functions of the advisory boards are to provide strategic advice on the development and management of the BRC
Global Standards and the activities to ensure the effective management of the certification bodies and audit process.
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PART IV MANAGEMENT AND GOVERNANCE
Supporting
documentation
International
accreditation
forum and ISO/IEC 17011
regional General requirements for
accreditation accreditation bodies
forums
National
accreditation
body
ACCREDITATION
ISO/IEC 17065
CERTIFICATION
BRC Global Standards
website
www.brcglobalstandards.com
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International advisory boards
BRC executive
The TAC is made up of senior technical managers representing the users of the Standard and includes
representatives of retailers, food service companies, wholesalers, storage and distribution operators, certification
bodies and independent technical experts.
The Standard is reviewed periodically to assess the need for updating or production of a new issue. This work is
undertaken by the TAC, which is expanded for the purpose to include other available expertise.
The TAC also reviews auditor competence requirements, proposed training materials and supplementary technical
documents supporting the Standards.
The BRC scheme may only be certificated by certification bodies registered and approved by the BRC and accredited by a BRC-
recognised accreditation body. All auditors undertaking audits against the Standard must meet the BRC auditor competency
requirements and shall be registered with the BRC. The qualifications, training and experience requirements for auditors who
conduct audits against the BRC Global Standard for Storage and Distribution are detailed in Appendix 2. All audits undertaken
against the Standard shall be uploaded to the BRC Global Standards Directory, which provides the BRC with an oversight of the
activity of the certification bodies and the opportunity to review the quality of the reports produced.
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To support the Standard, the BRC operates a compliance programme which reviews the performance of the
As part of the compliance programme the BRC audits the offices of certification bodies and accompanies auditors
on audits at sites to observe the performance of auditors. The BRC may also undertake independent visits to
certificated sites to ensure standards of product safety and quality are being maintained in line with its certification
status and ensure that the audit and reporting process is to the expected standard.
CALIBRATING AUDITORS
A key component of the scheme is the calibration of the auditors to ensure a consistent understanding and application of the
requirements. All certification bodies are required to have processes to calibrate their own auditors. An essential element of the
training and calibration of auditors is the witnessed audit programme. Auditors are observed during an audit and provided with
feedback on the performance of the audit. In order to ensure consistency between certification bodies and for the purposes of
accreditation, an audit may be witnessed by a BRC representative or accreditation body auditor. Guidelines apply to these
activities to ensure that sites are not disadvantaged by the presence of two auditors. This process forms an essential part of the
scheme and sites are obliged to permit witnessed audits as part of the conditions for certification.
FEEDBACK
Companies audited against the Standard may wish to provide feedback to the certification body or the BRC on the
performance of the auditor. Such feedback sent to the BRC will be considered in confidence. Feedback provides a
valuable input to the BRC monitoring programme for certification body performance.
COMPLAINTS
The BRC has implemented a formal complaint process, which is available to organisations involved with the Global Standards.
This is available on the website (www.brcglobalstandards.com).
From time to time, failure to apply the principles and criteria of the BRC Global Standards at certificated sites may be
reported to the BRC by, for example, retailers and companies conducting their own audits. In this event, the BRC will
conduct an investigation as appropriate and may undertake announced or unannounced visits to a certificated site.
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APPENDICES
APPENDIX 1
Other BRC Global Standards 76
APPENDIX 2
Registration, qualifications, training and
experience requirements for auditors 77
APPENDIX 3
Certificate template 79
APPENDIX 4
Products included within the scope of the
Standard 80
APPENDIX 5
Glossary of terms 81
APPENDIX 6
Acknowledgements 84
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APPENDIX 1
OTHER BRC GLOBAL
STANDARDS
The BRC has developed a range of Global Standards which set out the requirements for the wide range of activities
undertaken in the production of food, consumer goods and packaging, as well as this Standard for storage and distribution.
The BRC Global Standard for Food Safety is an auditing standard which is applicable to food. This is the most
mature of the BRC Global Standards and is extensively used in the food industry worldwide. This Standard applies
wherever processes are undertaken which involve open or unpackaged food products. These products fall outside
the scope of the BRC Global Standard for Storage and Distribution.
The BRC Global Standard for Packaging and Packaging Materials is an auditing Standard that lays down the
requirements for the manufacturing of packaging materials used for food and consumer products. The Global
Standard for Storage and Distribution applies only where no processing activities occur.
The BRC Global Standard for Consumer Products is an auditing standard that sets out the requirements for
businesses that produce consumer products or are involved in the preparation of products as components for supply
as retailer-branded (own-label) products or branded products. It can only be used at manufacturing or packing sites.
The Standard also applies where companies are assembling component parts to produce a single saleable
package. The Global Standard for Storage and Distribution may only be used where such assembly is carried out of
components which are fully finished saleable products in their own right.
The BRC Global Standard for Agents and Brokers is an auditing standard which enables companies to be audited
and certificated where they buy and sell products or provide services to other parties but are unable to gain
certification to the production or storage and distribution standards because there is no product present to be audited.
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APPENDIX 2
APPENDICES
REGISTRATION, QUALIFICATIONS,
TRAINING AND EXPERIENCE
REQUIREMENTS FOR AUDITORS
All auditors conducting audits against the BRC Global Standard for Storage and Distribution are required to be
registered with the BRC. The registration process identifies that auditors have undergone the required training, and it
identifies the product categories in which auditors have expertise. Evidence of auditors’ qualifications, experience
and training has to be submitted to the BRC prior to them carrying out audits. All registered auditors receive a unique
registration number, which is included on the audit report and is automatically cross-checked against their
competence before the certification is accepted onto the BRC Directory.
It is the responsibility of the certification body to ensure processes are in place to assess, monitor and maintain the
competence of the auditor to the level required by the BRC.
The BRC publishes a detailed guide to registered certification bodies on the auditor competency requirements,
expectations of the initial assessment of auditor’s competence, ongoing training and assessment procedures. This
is reviewed and updated periodically by the Technical Advisory Committee. The following outlines the requirements
of auditors who may be registered to audit against the Standard.
EDUCATION
The auditor ideally shall have a degree in a food, science, technology or logistics discipline or, as a minimum, have
successfully completed a higher education course in a food, science, technology or logistics-related discipline.
WORK EXPERIENCE
The auditor shall have a minimum of 3 years’ post-qualification experience related to the food, packaging, logistics or consumer
product industries. This shall involve work in quality assurance or product safety functions within manufacture, retailing, storage
and distribution, inspection or enforcement; and the auditor shall be able to demonstrate an understanding and knowledge of
specific product categories of audit for which they are approved. The verification to carry out work within specific product
categories will be carried out by the certification body and information provided in the auditor registration with the BRC.
QUALIFICATIONS
The auditor shall have:
• successfully passed a registered QMS Lead Assessor course (e.g. IRCA) or a BRC-recognised equivalent
course with an exam
• successfully completed (as evidenced by examination) a training course in HACCP or hazard analysis principles
of at least 2 days’ duration based on the principles of Codex Alimentarius, and be able to demonstrate
competence in the understanding and application of HACCP principles. It is essential that this training course is
recognised by the industry sector (and its stakeholders) as being appropriate and relevant
• successfully completed an official BRC Global Standard for Storage and Distribution auditor training course and
exam for Issue 3 of the Standard delivered by a BRC-approved trainer.
AUDIT EXPERIENCE
Auditors must have practical auditing experience of product certification schemes or quality management systems
and must have successfully completed supervised training audits at a variety of organisations against the BRC
Global Standard for Storage and Distribution.
Certification bodies must be able to demonstrate that every auditor has appropriate training and experience for
the particular categories of audit for which they are considered competent.
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PERSONAL ATTRIBUTES
The auditor shall exhibit professional conduct at all times, be objective, have good communication skills and maintain
the integrity of themselves, their employer and the Standard.
The certification body is required to have a system in place to evaluate the personal attributes of all auditors
(e.g. by supplier feedback forms) and maintain records of competence and training as appropriate.
Certification bodies must establish training programmes for each auditor, which will incorporate:
• a period of initial training covering product safety, HACCP/risk assessment and prerequisite programmes,
and access to relevant laws and regulations
• a period of supervised training to cover quality management systems, audit techniques and specific category knowledge
• assessment of knowledge and skills for each category
• documented sign-off after the satisfactory completion of the training programme.
Each auditor’s training programme shall be managed and approved by a technically competent person within the
certification body who can demonstrate technical competence in the categories in which training is given.
Full detailed training records of the individual shall be maintained by the certification body throughout the term of employment
and retained for a minimum period of 5 years after the auditor has left the employment of the certification body.
The auditor must be kept up to date with ‘category best practice’, have access to (and be able to apply)
relevant laws and regulations, with records of updated training held by the certification body.
AUDIT CATEGORIES
It is recognised that the auditors shall have appropriate product knowledge of the categories of products that the site to be
audited is storing or distributing. The categories have been defined on the basis of risk according to the chart below.
PRODUCT CATEGORY
1 Chilled and frozen food
2 Ambient food
3 Packaging and packaging materials
4 Consumer products
It is recognised that a wide range of products are covered by the Global Standard for Storage and Distribution. It is
the responsibility of the certification body to identify the products handled by the site being audited, and in particular
to identify any products with specific handing requirements. Where such products are identified, the auditor must be
made aware in advance of the audit in order to plan for the visit.
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APPENDIX 3
APPENDICES
CERTIFICATE TEMPLATE
[Certification body name, certification body number] certifies that, having conducted an audit
Product categories:
At COMPANY NAME
BRC SITE CODE
AUDIT SITE ADDRESS
Audit programme: [announced, unannounced option 1 or option 2, reissued after extension to scope]
Date(s) of audit: [include two date ranges for unannounced option 2. If an extension to scope, include
original audit date and visit date]
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APPENDIX 4
PRODUCTS INCLUDED WITHIN
THE SCOPE OF THE STANDARD
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APPENDIX 5
APPENDICES
GLOSSARY OF TERMS
In relation to terms used within this document, the following words shall have the following meanings:
Accreditation Procedure by which an authoritative body gives formal recognition of the competence of a
certification body to provide certification services against a specified standard.
Assembly packing A process that assembles a collection of two or more market-ready finished products into outer
packaging for sale as single product. Companies undertaking this process do not manufacture
any of the component products, but are supplied with them for assembly into the final pack.
Audit A systematic examination to substantiate whether activities and related results comply with
planned arrangements and whether these arrangements are implemented effectively and are
suitable to achieve objectives.
Auditor A person possessing the appropriate competence and skills to carry out an audit.
Back-haul To collect a load following delivery of products for return to the distribution depot or warehouse.
Branded product Products bearing the logo, copyright or address of a company that is not primarily a retailer.
Business continuity A framework that enables an organisation to plan and respond to incidents of business
interruption in order to continue business operations at an acceptable predetermined level.
Calendar day Includes working days and weekends but excludes periods of legal public holiday of the country in
which the site and/or certification body is located.
Calibration Set of operations that establish, under specified conditions, the relationship between values of
quantities indicated by measuring instruments or measuring systems, or values represented by a
material or reference material, and corresponding values realised by standards.
Certification Procedure by which accredited certification bodies, based upon an audit and assessment of a
site’s competence, provide written assurance that a site conforms to a Standard’s requirement.
Certification body Provider of certification services, accredited to do so by an authoritative body and registered with
the BRC.
Certification suspension Where certification is revoked for a given period pending remedial action on the part of the site.
Certification withdrawal Where certification is revoked. Certification may only be regained following successful completion
of the full audit process.
Company The entity with legal ownership of the site which is being audited against the BRC Global Standard.
Consumer products Non-food products normally bought by or supplied to private consumers for personal or
household use.
Control measure Any action or activity that can be used to prevent or eliminate a product safety hazard or reduce it
to an acceptable level.
Critical control point (CCP) A step at which control can be applied and that is essential to prevent or eliminate a product safety
hazard or reduce it to an acceptable level.
Cross-docking Material is unloaded at distribution premises, and handled, but not formally put away into storage.
This may be a staging area where inbound materials are sorted, consolidated, and temporarily
stored until the outbound shipment is complete and ready to ship.
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Customer A business or person to whom a product or service has been sold, or on whose behalf product is
collected, stored or delivered.
Customer focus A structured approach to determining and addressing the needs of an organisation to which the
company supplies products and which may be measured by the use of performance indicators.
Day See calendar day.
Distribution The transportation of goods within any container (goods on the move) by road, rail, air or ship.
Food Products as defined by the EU Food Hygiene Regulations 178/2002.
Hazard An agent of any type with the potential to cause harm or which would render products
unacceptable.
Hazard analysis and critical A system to identify, evaluate and control hazards which are significant for product safety.
control point (HACCP)
Hub depot A storage and distribution site receiving products from external companies and supplying
products to other depots within the company’s own distribution network (see satellite depot).
Incident An event that has occurred resulting in the production or supply of unsafe, illegal or non-
conforming product.
Initial audit The BRC audit at a company/site which is not in possession of a valid BRC certificate. This may be
the first audit at a site or a subsequent audit of a site whose certification has lapsed.
Internal audit General process of audit, for all the activity of the company. Conducted by or on behalf of the
company for internal purposes.
Job description A list of the responsibilities for a given position at a company.
Key staff Those staff whose activities affect the safety, legality and quality of the finished product.
Legality Meeting all relevant legislation in the country (or countries) where the product(s) is/are intended to
be supplied or sold.
Location The geographical area within which individual premises reside in order to be classed as a single
site for auditing purposes (i.e. a radius of 1 hour or 50 km from the usual place of work of the
management team).
Loose/open food Food ingredients or finished products that are unwrapped or not stored in packaging that is
designed to protect the product when it is sold to the consumer, e.g. trays of fresh produce, meat
carcasses.
Manufacturer A company that produces product from raw material components, and packs the product into
retail units or supplies product in bulk to a packing site to pack the product into retail units. A
packer who packs product into retail units from bulk-supplied material can also be classed as a
‘manufacturer’.
Non-conformity The non-fulfilment of a specified product safety, legal or quality requirement or a specified system
requirement.
Original copy A document, whether in electronic or printed form, that has been legally obtained and does not
infringe any copyright.
Premises A physical building or place owned by the company and audited as part of a site.
Pre-packaged products Products in their final packaging that is designed for sale to the consumer.
Procedure Agreed method of carrying out an activity or process which is implemented and documented in
the form of detailed instructions or process description (e.g. a flowchart).
Product recall Any measures aimed at achieving the return of an unfit product from final consumers.
Product withdrawal Any measures aimed at achieving the return of an unfit product from customers but not from final
consumers.
Protective clothing Clothing designed to protect the product from potential contamination by the wearer.
Quality Meeting the customer’s specification and expectation.
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APPENDICES
Quantity control Check on amount of product in the consumer pack. May be related to weight, volume, number of
pieces, size etc.
Retail brand A trademark, logo, copyright or address of a retailer.
Retailer A business selling products to the public by retail.
Retailer-branded products Products bearing a retailer’s logo, copyright, address or ingredients used to manufacture within a
retailer’s premises. These are products that are legally regarded as the responsibility of the retailer.
Risk The likelihood of occurrence of harm from a hazard.
Satellite depot A warehouse/distribution site receiving products only from another site within the same company.
Senior management Those with strategic/high-level operational responsibility for the company and/or site.
Shall Signifies a requirement to comply with the contents of the clause.
Site A unit of a company; the entity which is audited and which is the subject of the audit report and
certificate. A site may be made up of more than one premises within a location.
For distribution this will be the address from which vehicles operate.
Specification An explicit, detailed description of a material product or service.
Specifier Company or person requesting the product or service.
Standard, the The BRC Global Standard for Storage and Distribution, Issue 2.
Supplier The person, firm, site or other entity to which a site’s purchase order to supply is addressed.
Suspension Where certification is revoked for a given period, pending remedial action on the part of the
company.
Traceability Ability to trace and follow raw materials, components and products, through all stages of receipt,
production, processing and distribution and vice versa.
Trans-shipment A direct transfer of goods from one vehicle or container to another.
User The person or organisation (customer of the site) that requests information from the site regarding
certification.
Validation Confirmation through the provision of objective evidence that the requirements for the specific
intended use or application have been fulfilled.
Vehicle Any device used for the conveyance of product that is capable of being moved upon highways,
waterways or airways. Vehicles can be motorised (e.g. a lorry), or non-motorised (e.g. container or
rail truck).
Verification Confirmation through the provision of objective evidence that specified requirements exist.
Where appropriate In relation to a requirement of the Standard, the site will risk assess the actual requirement of the
Standard and, where applicable, put in place systems, processes, procedures or equipment to
meet the requirement. The site shall be mindful of legal requirements, best-practice standards,
good manufacturing practice and industry guidance, and of any other information relating to the
manufacture of safe and legal product.
Wholesaler A distributor or middleman who purchases products to sell mainly to retailers, institutions or other
companies rather than to consumers.
Wholesaler exclusive Products not bearing the wholesaler’s logo but produced with a brand exclusively for sale and
products distribution by the wholesaler.
Wholesaler own brand Products bearing a wholesaler’s logo, copyright and address that are legally regarded as the
responsibility of the wholesaler.
Work-wear Company-issued or authorised clothing worn in the work place, usually to provide protection to
the wearer or the wearer’s own clothing.
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APPENDIX 6
ACKNOWLEDGEMENTS
The BRC is grateful to the following people who supported and assisted in the preparation of this document.
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Neil Stephenson Booker Ltd
Chris Sturman Food Storage and Distribution Federation (FSDF)
Adam Sutton PepsiCo
Faye Sweeney Target Corporation
Tom Thornton Asda
Christine Weiker ECSLA
Jane Weitzel Wegmans Food Markets, Inc.
Eric Wolf Preferred Freezer Services
Petro Zapata Yum! Brands, Inc.
We would also like to say thank you to all that downloaded the consultation document and provided feedback as
it has been invaluable in the development of the Standard.
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BRC Global Standards
21 Dartmouth Street
London SW1H 9BP
Tel: +44 (0)20 7854 8900
Fax: +44 (0)20 7854 8901
Email: [email protected]
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