Alexandru Tudose
August 27, 2019
Since 2016, when the last update of IATF 16949 occurred, the concept of risks and opportunities in this automotive standard has been brought into the forefront of process approach/quality planning and control. The standard requires an organization to identify and control the risks by deploying preventive actions, to take advantage of opportunities that can arise from the organization’s context in a controlled way (by mitigating the associated risks), and to link several risks to contingency plans (in fact, to deploy contingency plans for them). It appears to be clear, but how we can implement this in a practical way?
The hands-on approach based only on standard explanation is not enough, so here is a bit more about how to implement related requirements and how to address IATF 16949 risks and opportunities.
There are multiple requirements related to risks and opportunities, starting from clause 4.4.1, where the organization is required to determine the processes needed to address risks and opportunities that are determined and transferred as a responsibility of top management, as per the 5.1.2 requirement. In requirements starting from 6.1, it is requested to determine the risks and opportunities needed to be taken into account, to plan actions to address those identified risks and opportunities, and to evaluate their effectiveness.
By also taking into consideration the requirements from clause 4.1, where it is required to analyze the internal and external issues concerning the organization, and clause 4.2, where it is required to determine the needs and expectations of interested parties, we will have to take into account the risks related to:
For more about the context of the organization, read the article How to define the context of the organization in IATF 16949:2016.
All the risks mentioned above have to be considered during development and establishment of the contingency plan – see the 6.1.2.3 IATF requirement. The main goal is to ensure the uninterrupted delivery of parts to customers in the case of special situations.
Requirement 6.1.2.1 defines clearly what we have to do to establish a process for handling nonconformities:
The actions (including data regarding the results of implementation) have to be stored as documented information and transferred as lessons learned for similar processes (to prevent the occurrence of a nonconformity in similar processes). Also, requirement 9.1.3.1 demands us to use data to measure trends and establish actions based on such trends (it is about prioritization). Do not forget that the effectiveness of actions taken to address risks and opportunities has to be presented as an input for the management review (see requirement 9.3.2.- e, about the effectiveness of actions taken to address risks and opportunities).
Learn more about management review in the article How to implement management review according to IATF 16949.
Here is a model for how to implement the requirements:
By using this model, you will start to identify the risks. Then you will analyze each identified risk:
When the risk is related to issues defined in the IATF 16949 contingency plan, then you must document contingency plans for that risk. Extend this approach for the risks with high risk levels, and define contingency plans for them, also. Plan preventive actions, follow their implementation, and check their effectiveness based on the PDCA cycle.
In the end, do not forget to update the risk level (keep a history for all risk levels and the reason for their changes). And finally, consider implementing your system in a lean way – keep everything simple and clear, document clearly the rules you want to implement, use digital tools to share data and information for all employees, and follow the principle of “one click of distance between the employee and the information.”
To see how does this risk process fit into the overall IATF 16949 implementation process download this free IATF 16949:2016 Implementation Diagram.