“On the Eighth Day of
ISO….”
It is our strong recommendation
organizations do not make changes to their quality management systems until the
formal standard is released in 2015.
My
Management Rep. gave to me . . . . No significant changes! This fact alone will make many people,
primarily those in that actual patient care processes, very excited! Currently, remember the Standard is not
final, in the ISO 9001:2015 Standard in Section eight; Operations, there are
limited changes to what is asked of an organization. So rest at ease and enjoy the holiday season
knowing that the Eight Maids a Milking will continue to Milk just as they
always have.
However,
there are the “Five Golden Rings” for operations that you may want to take a
peek at before the holiday rush.
The planning
of service provision will have precise requirements for implementation. The
intent is to resolve the risks to an organization defined in section six of the
Standard. What we do as we implement our
processes must now be inclusive of planning, and carrying out our processes to
deter issues within the organization. (8.1)
One unique
change in determining the requirements related to patient service provision is
a distinct call out for the organization to ensure they meet the defined
requirement, and substantiate any claims they make for service provision. I am not sure how this will shake out in the
healthcare world, but organizations should begin to think about what they
promise patients, in regards to the services they provide. (8.2.2)
The
materials or purchasing process in the new standard is now inclusive of
outsourced processes, just as if they were a supplier of any other stock
item. This means that the criteria for
evaluation, selection, performance monitoring and re-evaluation apply to all
product or service providers. This goes
even one step further in including suppliers that provide product or service
directly to your patients on your behalf.
This is where those six geese might lay an egg that we are not fully prepared
for. So how do we deal with these six
geese? Here are the six eggs the ISO
standard is asking you to communicate to “ANY” supplier: (8.4)
·
Product
or Service we are purchasing
·
How
said product or service is approved
·
Any
qualification service providers need
·
Any
interaction with the QMS that the vendor may need to control
·
How
their performance is going to be monitored
·
Any
onsite inspections/surveys the organization intends to perform at the vendors
premise
Customer
Property has now been expanded to include property of external providers. Simply put, if we damage customer or vendor
product we are responsible to let them know.
I would hold off on setting up any kind of processes to notify vendors
of damaged product due to the fact that this may be one of those areas that may
fall off in the final draft of the standard. (8.5.3)
I told you
that there were no significant changes to operations, however, if you will
recall in the 2008 Standard, Nonconforming Product was not a part of operations.
It was included in the measuring, monitoring and improvement section of the Standard. It has moved into the operations section and with
one significant change. Let me caution
you as you read this next section not to get too scared, overwhelmed, excited
or exacerbated. This is a section that
is going to cause a lot of discussion as to the intent and the expectations and
implementation for the Standard is in a certified organization. Let the dust settle and wait, wait, wait, for
the final version to be released. Remember a bird in the hand is better than
two in a pear tree.
Let me
outline this for you so as to present clear understanding:
·
ISO
9001:2008 NCP required
identification and segregation of bad product and product means product.
·
ISO
9001:2008 NCP requires a record
of the actions taken for nonconforming product to be maintained but that was
for product only.
(1 Record)
·
ISO
9001:2008 Process failure was
governed by 8.2.3 Measuring and Monitoring of Processes and subsequently 8.5.2
Corrective Action.
System failure was governed by
8.2.2 Internal Audits and subsequently 8.5.2 Corrective Action.
Service failure was governed by
customer complaints and subsequently 8.5.2 Corrective Action.
These last three only required a record if the magnitude level was such that formal and complete
corrective action was determined to be necessary by the
organization.
·
ISO
9001:2015 Is not only inclusive
of all the requirements for nonconforming “product”
but is also inclusive of Nonconforming process outputs and
Nonconforming services.
Here is where the new Standard is
going to get all the ISO lords a leaping.
Question? “So does that mean that I have to have both a NCP records and
a corrective action record for every nonconforming product? Process Failure? Process Performance Failure? Customer
Complaint? System Failure?
The Answer is simple, but requires
patience. The answer; wait until the
dust settles. Most likely there will be some significant changes and/or
clarification to this portion. If it
were my QMS, I would not touch NCP or Corrective Action until I had the final “Gospel”
version-gave to me. (8.7)
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