Part 3: Geographical Indication control approaches
A primary consideration when developing a GI control system is who will set up and manage the controls. Should it be a public authority, the producers or the producer group as a single entity. Consideration must also be given to the best control system to match the needs and capacity of stakeholders. Both private and public implemented controls can be considered.
Levels of controls
There are three levels of controls to consider when developing a GI control system:
- A self-control or auto control system established and managed by producers themselves and operators of the value chain.
- An internal control system which is not compulsory. Such as system will depend on the provisions established in the relevant legal framework. This internal control can be implemented by GI associations or a group of GI producers or outsourced under the responsibility of the GI producers' group.
- An external independent control system which will involve checking the control systems being utilized by users of the GI logo to ensure compliance with the control system for the product. This level of control is mainly provided by a certification body or sometimes by public organizations such as a bureau of standards if appropriately accredited or legally competent.
External controls can be carried out by different types of actors such as public bodies; private organisations, technical teams/commissions. All external control entities must have the specific competency to undertake conformity assessment for GI control schemes as well as having specialised expertise related to the product.
Choosing a control body
When the legal regulation foresees the intervention of certification body, such a body must be accredited by an internationally recognized body like ISO 17,065 and selected by the producer group during the drafting of the specifications. The independence of the control body is important for monitoring and enforcing the control system and this will provide a layer of transparency to the GI management system.
The control body would provide an accreditation certificate indicating whether a producer is in conformity with the GI plan for a specific product and therefore qualified to continue to use the GI label.
Contents of the control plan
The control plan will typically comprise the following elements:
For each producer, a first certification audit must be undertaken before they can be authorised to use the GI.
Example of records for plant production
There must be a register, which is always made available to the control authorities or bodies. Pertinent information which must be kept in the register include, as examples:
Organoleptic tests
Organoleptic tests are not compulsory and are only implemented if it is relevant to a specific product and if there are some special product conditions defined within the specifications. If such a test is required then there is need to identify and constitute a competent testing panel, the details (for example naming the panellist, providing a checklist) of which would have been provided in the code of practice for the GI product.
GI controls checkpoints
The following provides information on checkpoints which may be applicable when an external control body is used. This is not an exhaustive list and will be dependent on the product.
Checkpoints for the general and documentary organization will include:
Training and the information on training which producers have received. Checkpoints will include:
Understanding the elements of a control plan
A control plan is built around three main parts:
- The criteria related to product specification and the key point to master
- The monitoring plan - which action will be implemented in order to check the point to master or to check if the criteria comply with the product specification, who is responsible for the control, how many times a year, and the corrective action required if there is non-compliance
- Documentation of the results of assessments and required action etc.
GI Certification
Issuing a GI certificate of compliance is not compulsory and will depend on the relevant existing legal framework. Certificates are issued by the control/certification body for compliant products and producers based on the test and audit results.
Conclusions
Learning exercises
Question 1: CIs a certification body mandatory in relation to the GI control system?
There are two possible answers. It depends on the jurisdiction.
No: A certification body is not mandatory in relation to GI controls.
yes: If the legal framework provides that compliance to the GI controls must be verified/ assessed by a control/certification body.
Question 2: Is the GI group entitled to provide internal controls?
There are two possible answers.
No: If it is not requested by the legal framework and if the GI group does not have the required competency.
yes: If the members of the GI group decide to do so and if the legal framework requires internal controls. The requirement for internal controls can also be delegated to a competent body.
Question 3: In the overall GI control plan can I include some controls which will be relevant in the marketplace?
The answer is yes. If the producers want to check the presentation of the GI products in the marketplace, they can include controls for this aspect.
Question 4: Can I use other certification schemes as part of my GI control system?
Yes. The GI control system can exist with other certifications such as organic farming or other quality certifications.
Question 5: In the case of several certification schemes, can the various bodies pool resources for their audits?
Yes, it is possible to pool resources and share the audits if the GI control checkpoints can be harmonised.
Question 6: During the audit undertaken by the control/certification body some documentation which can be used as evidence of conformity is missing. Is it a condition of refusal of the GI certification?
No. In the procedure of control, the producer can send the missing documents after the audits.