Thursday, December 2, 2010

Ocean Fresh LLC

  

Department of Health and Human Services logoDepartment of Health and Human Services

Public Health Service
Food and Drug Administration
 

San Francisco District
1431 Harbor Bay Parkway
Alameda, CA 94502-7070
Telephone: 510/337-6700
 

WARNING LETTER

VIA UNITED PARCEL SERVICE                                                                     
 
Our Reference: FEI 1000150785
 
December 2, 2010
 
Robert S. Juntz, Jr. and Susan A. Juntz, Owners
Ocean Fresh, LLC
350 N. Main Street
Fort Bragg, California 95437
                                                                                               
Dear Mr. and Mrs. Juntz:
 
We inspected your seafood processing facility, located at 32410 N. Harbor Drive, Fort Bragg, California on August 31, September 1, 2, 3, 7, and 9, 2010. We found that you have serious violations of the seafood Hazard Analysis and Critical Control Point (HACCP) regulation, Title 21, Code of Federal Regulations, Part 123, and the Current Good Manufacturing Practice regulation for foods, Title 21, Code of Federal Regulations, Part 110 (21 CFR 123 & 110). In accordance with 21 CFR 123.6(g), failure of a processor of fish or fishery products to have and implement a HACCP plan that complies with this section or otherwise operate in accordance with the requirements of Part 123, renders the fish or fishery products adulterated within the meaning of Section 402(a)(4) of the Federal Food, Drug, and Cosmetic Act (the Act), 21 U.S.C. § 342(a)(4). Accordingly, your ready-to-eat, raw sea urchin roe is adulterated, in that it has been prepared, packed, or held under insanitary conditions whereby it may have been rendered injurious to health. You may find the Act, the seafood HACCP regulation and the Fish and Fisheries Products Hazards & Controls Guidance through links in FDA's home page at www.fda.gov.
 
Your significant violations were as follows:
  1. You must implement the record keeping system that you listed in your HACCP plan, to comply with 21 CFR 123.6(b) and (c)(7). However, your firm did not consistently record monitoring observations at the Alum Tanks, Cold Storage Live Sea Urchin and Paper Towel Step or Overflow, and Cold Storage Post Process On Basket, Prepacking Post Packing critical control points to control pathogens listed in your HACCP plan for refrigerated, raw ready-to-eat sea urchin roe. Specifically, you do not have (b)(4) monitoring records for 8/12/10, 7/31/10, 7/16/10, 7/13/10, 6/23/10, 6/2/10, 5/31/10, 5/22/10, 5/18/10, 5/10/10, and 5/5/10. (b)(4) indicated that processing of urchin roe occurred on these dates. 
  1. You must implement the monitoring procedures and frequency that you have listed in your HACCP plan, to comply with 21 CFR 123.6(b) and (c)(4). However, your firm did not follow the monitoring procedure of (b)(4) at a frequency of (b)(4) at Cold Storage Post Process On Basket, Pre Packing Post Packing critical control point to control pathogen growth listed in your HACCP plan for refrigerated, raw, ready-to-eat sea urchin roe.  Specifically, on September 9, 2010, during the close-out meeting with FDA, you admitted to our investigator that you did not always monitor critical control point temperatures at the frequencies specified in your HACCP plan for refrigerated, raw, ready-to-eat sea urchin roe.
  1. Because you chose to include a corrective action plan in your HACCP plan, your described corrective action plans must be appropriate, to comply with 21 CFR 123.7(b). However, your corrective action plans for refrigerated, raw, ready-to-eat sea urchin roe at the Alum Tanks and Cold Storage Live Sea Urchin & Paper Towel Step or Overflow critical control points to control pathogens are not appropriate. Your corrective action plans do not have provisions to ensure that no product enters commerce that is either injurious to health or is otherwise adulterated as a result of the deviation. For example, you may evaluate the product for time-temperature exposure, destroy the product, or divert it to a non-food use. 
  1. You must maintain sanitation control records that, at a minimum, document monitoring and corrections set out in 21 CFR 123.11(b), to comply with 21 CFR 123.11(c). However, your firm did not maintain sanitation monitoring records for Safety of water that comes into contact with food or food contact surfaces; Condition and cleanliness of food contact surfaces; Prevention of cross-contamination from insanitary objects to food, food packaging material, and other food contact surfaces; Proper labeling, storage, and use of toxic compounds; required for the processing of refrigerated, raw, ready-to-eat sea urchin roe.
In addition, you did not monitor and keep sanitation records for each day that processing or packing of raw, ready-to-eat sea urchin has occurred. A review of urchin roe processing and packing records by our investigator revealed that you have no Daily Sanitation Reports for 14 of 18 production days in August, 11 of 11 production days in July, 8 of 10 production days in June, and 19 of 20 production days in May.
  1. You must monitor sanitation conditions and practices during processing with sufficient frequency to ensure compliance with current good manufacturing practice requirements in 21 CFR Part 110, to comply with 21 CFR 123.11(b). However, your firm did not monitor Safety of water; Condition and cleanliness of food contact surfaces; and Prevention of cross contamination with sufficient frequency to ensure compliance with the current good manufacturing practice requirements in 21 CFR Part 110] as evidenced by:
   Safety of water:
  • None of the (b)(4) hoses at your facility are equipped with backflow prevention devices;
  • White perforated plastic totes were being rinsed using harbor water. These plastic totes were used to contain live urchins earlier that day. Seals and birds were observed swimming in the harbor, while boats also unloaded their daily catches at several docks along the harbor.
Condition and cleanliness of food contact surfaces, including utensils, gloves, and outer garments:
  • Large plastic totes, used for storage and transportation of live urchins, were stacked outside, unprotected, adjacent to the building. Freshly harvested sea urchins were observed being deposited into several of these totes.
  • Reusable rubber gloves used in contact with urchins, ready-to-eat urchin roe, and roe processing water were stored in undesignated areas throughout the processing room, including hanging on a rusty metal frame, on top of the plastic salt tote cover, on top of cardboard boxes, inside the hand-washing sink, and on various hooks and wall protrusions around the processing area.
  • Our investigator observed that reusable rubber processing gloves were stored in a tattered, visibly soiled Styrofoam, labeled “Clean Gloves” in a hallway that is open to harbor dock on one side and loading dock/parking on other side. Rubber aprons and coveralls were stored hanging in same open hallway, although some were observed brought from home at the beginning of the day.
  • Our investigator observed that the tools and equipment used in ready-to-eat urchin roe are not routinely washed or scrubbed before sanitizing:
o Stainless steel urchin cracking tools which are bound in rubber bands for grip
 
o Plastic spatulas used for urchin roe extraction
 
o Roe packing forks
 
o Plastic roe baskets – bits of debris were observed stuck to some of the baskets
 
Prevention of cross-contamination:
  • On September 1 and 2, 2010, our investigator observed one long yellow hose in the roe packing area uncoiled on two different days, its end outside the curtained door, resting on the concrete ground of the dock. On one occasion, the end of the hose was submerged in a puddle of water on the dock concrete. Seagulls were observed flying around the outside dock area and the outside dock surface was observed being washed down with harbor water. The yellow hose was observed later in cleaning the packing room and water was sprayed on food and non-food contact surfaces.
  • An September 2, 2010, our investigator observed an employee, wearing reusable rubber gloves, cracking open sea urchins, then immediately afterwards assisted another employee in cleaning the adjacent floor by picking debris off the floor using the gloves and taking it outside, and then returned to the ready-to-eat urchin processing, unloading the urchins and resumed cracking, without washing and sanitizing his gloves.
  • On September 2, 2010, our investigator observed an employee taking two disposable gloves from the box, dropped one on the ground, picked it up, put them on, dipped the gloves in sanitizing solution without washing it, and entered the processing area to begin work. The disposable gloves are used for direct handling of the ready-to-eat urchin roe.
  • Ready-to-eat roe processing employees are not routinely washing or sanitizing their disposable or reusable gloves prior to starting/resuming work. The gloves were observed in direct contact with sea urchins and roe on a regular basis.
  • On September 1, 2010, our investigator observed four women wearing pierced earrings and two wearing necklaces in the packing area.
  1. You must conduct a hazard analysis to determine whether there are food safety hazards that are reasonably likely to occur and *have a HACCP plan that, at a minimum, lists the critical control points, to comply with 21 CFR 123.6(a) and (c)(2). A critical control point is defined in 21 CFR 123.3(b) as a "point, step, or procedure in a food process at which control can be applied and a food safety hazard can as a result be prevented, eliminated, or reduced to acceptable levels." However, your firm’s HACCP plan for Sea Urchin does not list the critical control point of “Processing” for controlling the food safety hazard of pathogens. A processing critical control point should be added to incorporate time and temperature ratio to include extraction, cleaning, rinsing, alum tank soaking, draining and packaging.
We may take further action if you do not promptly correct these violations. For instance, we may take further action to seize your product(s) and/or enjoin your firm from operating.
 
You should respond in writing within fifteen (15) working days from your receipt of this letter. Your response should outline the specific things you are doing to correct these violations. You should include in your response documentation such as HACCP and verification records, or other useful information that would assist us in evaluating your corrections. If you cannot complete all corrections before you respond, you should explain the reason for your delay and state when you will correct any remaining violations.
 
This letter may not list all the violations at your facility. You are responsible for ensuring that your processing plant operates in compliance with the Act, the seafood HACCP regulation (21 CFR Part 123) and the Current Good Manufacturing Practice regulation (21 CFR Part 110). You also have a responsibility to use procedures to prevent further violations of the Act and all applicable regulations.
 
Please send your reply to the U. S. Food and Drug Administration, Attention: Ms. Erlinda N. Figueroa, Compliance Officer, 1431 Harbor Bay Parkway, Alameda, CA 94502-7070. If you have questions regarding any issues in this letter, please contact Ms. Figueroa at (510) 337-6795.
 
Sincerely,
/S/
Barbara J. Cassens
District Director
San Francisco District

 

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