In more detail
The Spanish Registry of Food Contracts was created by Law 16/2021 of 14 December, which amended Law 12/2013 of 1 August on measures to improve the functioning of the food chain ("Food Chain Law"), and was formally implemented by Royal Decree 1028/2022 of 20 December, implementing the Registry of Food Contracts ("Royal Decree 1028/2022").
According to these regulations, all food contracts and their amendments, as well as any annexes and supplementary information (insofar they form a necessary and integral part of the food contract because they refer to its minimum contents) must be registered in the Spanish Registry of Food Contracts as of 30 June 2023.
The party obliged to register them is the operator who purchases them before the contracted product/s are delivered. In particular, Royal Decree 1028/2022 identifies the following operators:
(a) Buyers who purchase agricultural and food products from primary producers and groups thereof and who are required to formalize a food contract
(b) First purchasers of raw milk
(c) The integrator, when the food contract is an integration contract
The obligation to register contracts applies when operators of the commercial relationship are established in Spain or when a contract is subject to Spanish law and one of the operators is established in Spain and the other in an other EU member state.
As regards contracts with primary producers formalized before 30 June 2023, it will only be compulsory to register any annexes, supplementary information and amendments produced after 30 June 2023.
Lack of compliance with this obligation may entail the imposition of economic fines of up to EUR 3,000 (or the equivalent of the benefit obtained by the offender, whichever is higher) the first time. Repeat offenses (or any other minor infringement of the Food Chain Law) within a period of two years will be considered a serious infringement and can be sanctioned with economic fines of up to EUR 100,000 (or the equivalent of the benefit obtained by the offender, whichever is higher). Penalties applied to serious infringements will be published by the competent authorities on a quarterly basis, jointly with the name of the offender and the offense committed.
In view of the above, it is important to review contracts with primary producers and their groups to confirm whether they are subject to this registration obligation.