Food Manufacturing

Under processor certification you will be permitted to blend, transform, process, repack and/or re-label certified products.

For Processors the Organic Handling Plan (OHP) or own Quality/ HACCP Plan shall outline the products processed/handled; all ingredients to be sourced with plans outlined to ensure valid certification status, GMO/ fumigation and irradiation-free status; outline of record keeping system; outline of monitoring practices and procedures to ensure that the plan is effectively implemented (including regular reviews of non organic ingredients and the non GMO status of ingredients); other management practices and personnel responsible to ensure there will be no co-mingling with non certified product and that organic integrity is maintained. See Section 6 Processing/Preparation of the ACO Standard.

Processors may include Contract Processors (CP) whereby processing is conducted by a contracted party for a certified operator. Processors may also include pack-houses where primary product is (re)packed for retail sale.

Processing or handling of certified raw materials and products must occur on certified promises. Only products declared and approved as certified with certifier can be marketed as certified organic.

Some basic rules when certifying a processed product:

  • Obtain valid organic certificates for all certified ingredients
  • Non certified ingredients are generally permitted when certified ingredients are not available on the market.
  • Non certified ingredients cannot: be of GMO origin or manufactured using GMO technology, be fumigated or treated with compounds prohibited by organic standard, cannot exceed 10% of other contamination MRL as defined by FSANZ, cannot be irradiated.
  • Onus is on operator to obtain and supply ACO with proof non GMO, Irradiation and treatment statements for non organic ingredients.
  • The amount of non organic ingredient(s)  will affect the type of organic claim :
  • 100% certified organic content, label  can state “100% organic” + bud logo
  • 95%-100% certified organic content, label can state “certified organic” + bud logo
  • 70%-95% certified organic content, label can state “made with certified organic ingredients”, cannot use bud logo but must indicate certification number (i.e.  ‘ACO  99999P’) (*exception for cosmetics)
  • <70 % certified organic content cannot makeany certification claims, can only list ingredients as ‘organic’, cannot include certification number or bud  logo

Use of ‘Bud’ logo

  • Product label must be submitted with ‘bud’ logo for assessment
  • Logo cannot be manipulated with the exception of colour and size
  • Size and quality of logo must be sufficient so that registration number is legible.
  • Logo cannot be used on any product or marketing medium which has not been approved by ACO

Certification Recognition

Unfortunately not all organic certifications have equivalency with ACO for use of the ACO logo. There are various different standards worldwide and ACO will only recognize a certain number of organic certifications without further assessment.

In addition to ACOS Section 3 on records, documents and labelling, all processors, from abattoirs to pack houses need to comply with the requirements in Section 6 as well as the Annexes III and IV for allowed ingredients, processing aids and sanitisers.

Don’t forget ACO also provides processor certifications under NOPKorea, JAS, IFOAM, EU and COSMOS standards.

 

Helpful tip:

  • Consider the potential export countries prior to formulating your product, this may affect your formula.
  • If you are planning to export your product, apply for the relevant certification so that you can utilize local logos.
  • It is much more cost effective to certify for additional standards during your initial application or before you annual audit.