FSMA Section 204 — the Food Traceability Rule (21 CFR Subpart S) — sets a January 20, 2026 compliance deadline for anyone who manufactures, processes, packs, or holds foods on the Food Traceability List (FTL). The FTL includes soft cheeses, shell eggs, nut butters, cucumbers, fresh herbs, leafy greens, melons, peppers, sprouts, tomatoes, tropical tree fruits, fresh-cut produce, finfish, crustaceans, molluscan shellfish, and ready-to-eat deli salads.
The core requirement is capturing Key Data Elements (KDEs) at each Critical Tracking Event (CTE) — harvesting, cooling, initial packing, first receiver, transformation, shipping, and receiving — and maintaining the records such that FDA can request them within 24 hours and receive them in an electronic, sortable format.
The operational lift that teams underestimate: Traceability Lot Code (TLC) assignment and propagation through transformation. When romaine from three farms gets chopped and blended into bagged salad, the TLC assignment at "transformation" must still trace back to the contributing lots. The KDEs — source, transformation type, product description, date, quantity — must survive every step from harvest through first receiver.
The Extant AgTech pack includes a dedicated FSMA Sec 204 tool that captures TLC assignments per CTE, validates KDE completeness per FTL commodity, and generates the 24-hour FDA response bundle in the exact format the agency expects. Plus PCHF + Produce + FSVP + HACCP + 21 CFR 117 cGMP + FSIS + Organic + FIFRA + GFSI (SQF / BRC / FSSC) tools, mock recall simulator, and an audit-ready doc-gen for FSMA PCHF Food Safety Plan, HACCP, FSMA 204 Traceability Plan, Organic System Plan, and FSVP Dossier.
If you are a produce grower, a food processor, or a cold-chain logistics provider moving FTL commodities and you are not yet running drills against your Sec 204 workflow, the deadline is too close to keep waiting. Start with a mock recall against your current process, identify the KDE + CTE gaps, and close them before the first FDA inspection lands.