Putting Glass Walls on Pennsylvania Slaughterhouses So We Can See Behind Closed Doors from FAUN Friends Of Animals United
Tyson Foods

Address: 403 South Custer Ave, New Holland, PA 17557
Establishment No.: p01325

USDA Inspection Report: 12 Oct 2011

Code: 03J02
Violation: 417.5(a)(1)

Citation: At approximately 1225 hours while I was reviewing the establishment's HACCP plan for Slaughter RTC Whole WOGS-Neck and Paws Chilling I observed that at step 3, Chiller/Strainer, the establishment states that "[redacted] However, further down the flow chart at step 6, CCP 3B-2, [redacted] The CCP states that [redacted]." There is no supporting documentation to support the site of after the chiller to examine the necks for fecal material and as to why it would not be a hazard at the step chiller but later down the process does become a potential hazard.. Under the critical limit for this CCP, the plant cites 9CFR 381.65(e) which states " Poultry carcass contaminated with visible fecal material shall be prevented from entering the chilling tank." Mr. [redacted] Plant 2 Manager, was verbally notified of the non-compliance.

Regulation:

417.5(a)(1) The written hazard analysis prescribed in 417.2(a) of this part, including all supporting documentation

 

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