Written Corrective Action Plan (CAP) Evaluation Checklist
CAP submission/version no.:
Date of closing meeting:
Date CAP Received:
Timelines for CAP submissions
Yes/No/Not Applicable
- For a N/C, the CAP was received within 30 days of the exit
interview (unless extension was given).
- For a critical N/C, the CAP was received within 24 hours
(unless extension was given).
- This is the 3rd (or fewer) time the CAP has been submitted.
- An exemption was requested and granted. If yes, new submission deadline:
Criteria for an Acceptable Written CAP (element 3 - Corrective Action Standard)
Description of the non-conformity
- A description of the Non-conformity (N/C) is recommended.
Immediate Corrective Action
- Details on identification, segregation, evaluation and any action taken on non compliant product (culling, reworking, relabelling, re-exporting
destroying).
- If critical non-conformity or product safety is an issue, ceased production and distribution, considered recall and notified CFIA.
- Immediate CA taken on deficiencies which may cause production of non-compliant product.
Root Cause of the Non-conformity
- Details on the process and results of the internal analysis to determine the root cause of the N/C. Analysis
is not focussed on the deficiencies (objective evidence) identified in the CV but on the system based weakness that allowed the N/C to occur.
Details of the "control system fix" which will address the root cause and prevent reoccurrence.
- The system changes that will be taken to prevent the N/C from reoccurring.
- The Person(s) or Position(s) responsible for these changes.
- The Date(s) these changes will be completed.
Interim Control Measures (if applicable)
- The interim control measures and monitoring procedures to be put in place where system changes can not be completed immediately (long term
corrective action).
- The Person(s) or Position(s) responsible for these control measures.
- The Date these changes will be completed.
Verification of implementation and effectiveness (how the regulated party will determine that the corrective action or control measure was
effective).
- The actions that will be taken to verify that the measures taken to correct the system weaknesses identified in the N/C were completed and effective.
- The Person(s) or Position(s) responsible for completing the verification.
- The Date the verification be completed.
The steps that will be taken to correct deficiencies (objective evidence) identified.
- The actions that will be taken to correct the deficiencies (objective evidence) identified.
- The Person(s) or Position(s) responsible for these actions.
- The Date these changes will be completed.
Interim Control Measures (if applicable)
- The interim control measures and monitoring procedures to be put in place where system changes can not be completed immediately (long term
corrective action).
- The Person(s) or Position(s) responsible for these control measures.
- The Date these changes will be completed.
Verification of implementation and Effectiveness (how the regulated party will determine that the corrective action or control measure was
effective).
- The actions that will be taken to verify that the measures taken to correct the system weaknesses identified in the N/C were completed and effective.
- The Person(s) or Position(s) responsible for completing the verification.
- The Date the verification be completed.
Commitment complete self assessment and submit attestation within 30 days
- If a Schedule I and II compliance level "A" or "B" was obtained the CAP includes a commitment to correct deficiencies in both the establishment and the QMP within 30 days after the CAP is accepted. (See
Schedule I and II Regulatory Verification Process).
- If a Schedule I compliance level "C" was obtained, the CAP
includes a commitment to correct deficiencies in both the establishment and the QMP within 30
days after the CAP is accepted and to conduct a self assessment and attestation using the
"Processors Self Evaluation Form" and submit it to the CFIA within the 30 day
deadline. (See Schedule I and II Regulatory Verification Process). (Schedule II
compliance level "C" must be corrected prior to exit meeting. If not, will be treated as per "D")
- If a Schedule I and II compliance level "D" was obtained, the CAP includes a commitment to correct deficiencies in both the establishment and the QMP prior to resuming operations and to conduct a self assessment and attestation using the
"Processors Self Evaluation Form" and submit it to the CFIA. (See Schedule I and II Regulatory Verification Process).
Result of Evaluation
Yes/No
Written CAP is acceptable
Comments
Company:
Evaluator:
Date of Evaluation: