Re-keyed lot codes, commingled blends, paper in the cab. MAER Labs links it all anyway — so a recall becomes a surgical, evidence-backed operation.
Agents read what you already produce — WMS rows, EDI feeds, paper BOLs, batch logs — into one schema. No new hardware, no scanning mandates, no supplier onboarding.
Fellegi-Sunter matching scores every candidate pair, field by field. The lot code that receiving re-keyed is bridged — with the evidence attached, not a black-box guess.
Mass balance is the contradiction oracle — cases in must equal cases out. Candidate genealogies that break conservation are refuted, and commingled blends become traceable.
Evidence multiplies along every hop, farm to store. 122 candidate paths: 41 refuted, 31 below threshold, 50 confirmed ≥ 0.97. The confirmed set is the recall.
Notices, the FDA sortable spreadsheet, per-store evidence packs — drafted in minutes, signed off by you. Pull less. Prove why.
Snap the invoice; agents flag shortages and missed credits. FSMA receiving records come free.
DAILY ROI · STORES + RESTAURANTSWe hold your linked records (§1.1455(b)) and produce the sortable spreadsheet on request. Quarterly mock recalls included.
RETAINER · DISTRIBUTORS + DCSProbabilistic genealogy proves which stores are safe to exclude — every exclusion ships with its evidence.
DIFFERENTIATOR · MANUFACTURERS + INSURERSFSMA 204 enforcement: July 20, 2028. Traceability records become mandatory — and answerable within 24 hours.
70+ retail chains already mandate traceability lot codes ahead of the federal date. The records exist today; what's missing is the layer that links them.