MySitesSupervisor consolidates sanitation, quality, EMP, pre-op verification, and CAPA into a single audit-aligned platform. Every record is time-stamped, signed, and exportable on demand. SQF, BRC, FSMA โ the chain of evidence is already in a format the auditor recognizes.
You spend two days assembling Q2 EMP records from three systems and a binder. The auditor asks you the same question every year.
The record exists. Someone filled it out. You just can't find it in time. It becomes a finding. The finding becomes a CAPA. The CAPA becomes your next two weeks.
Lab results in one platform, ATP in another, swab schedule in a spreadsheet. Nobody can answer "is this trending."
"We'll track that CAPA in a spreadsheet" โ every QA director has said this. Every QA director has watched the spreadsheet die.
Sanitation completion, QA verification, ATP results, EMP swabs, line release, CAPAs โ all on the same platform with the same audit trail. When an auditor asks "show me the chain from this CAPA back to the failed pre-op that triggered it," the answer is one query. Not three logins, two spreadsheets, and a binder.
Map test points to a facility floor plan. Schedule swabs by zone and frequency. Pull lab and ATP results via API instead of re-keying. When a Zone 1 positive comes back, the platform automatically opens vector sampling tasks in Zones 1โ3 around the hit. The corrective action loop closes by itself.
Failed pre-op opens a CAPA. Out-of-spec ATP opens a CAPA. Listeria positive opens a CAPA. Each one is linked to the source event with image evidence, ownership chain, follow-up tasks, and verification sign-off. CAPAs close because they have to โ and they have an audit-ready record when they do.
The auditor asks for the last 90 days of pre-op records. You filter, export, hand them a PDF. The auditor asks for the EMP trend for Zone 2 across all lines. You filter, export, hand them a PDF. Audit prep stops being a week of assembling binders. It becomes the conversation it was always supposed to be.
Sanitation, pre-op, EMP, CAPA, SSOPs, and verification records โ all in the formats SQF auditors expect, with the timestamps and signatures intact.
BRC clauses on cleaning, calibration, EMP, allergen control, and CAPA closure all map directly to MSS features. Less explaining, more showing.
Preventive controls, monitoring, verification, and corrective action records assembled in the structure the FDA inspector expects.
HACCP records, sanitary dressing, and Listeria Rule (9 CFR Part 430) verification โ captured the way the IPP inspector reads them.
30-minute session. Bring the audit questions that gave you trouble last year. We'll show you what the chain of evidence looks like in MSS.