New — The Inspection Record: the 483 Observation Library and the first article. Join free →
Partner Playbook

Lead with it. Show it. Close it.

Everything you need to walk a client through ComplianceWorxs live — sample records you can paste into the tools on a screen share, the three conversations that convert, and the exact pay math behind every referral.

Inspection Response Record
$497
Your commission
25%
Paid
Net 30
01 — The Tools

Three free tools. Each does a different job.

You don't have to sell ComplianceWorxs. You point your client to the right tool at the right moment, and the tool does the work. Here's what each one is for.

Door-opener for systemic exposure

Decision Trail Assessment

A 20-question inspection simulation. Your client works through three real records from their facility — their most recently closed CAPA, last deviation investigation, last batch release exception. The results page shows them exactly where they're exposed across their program, not just on one decision.

When to use it: Client has a PAI coming up. Client is new leadership reviewing their program. Client mentions audit findings. Anywhere the conversation is about the program, not one decision.

What it leads to: Another IRR — a systemic problem shows up decision by decision.

Take the Assessment →
Door-opener for one-decision exposure

Paste-Your-Record Tool (Homepage)

Live on the ComplianceWorxs homepage. Client pastes their actual CAPA justification, deviation reasoning, or batch release language. The tool drafts inspection-ready reasoning in 90 seconds — then shows them exactly what an inspector would still ask that their record doesn't answer.

When to use it: Client is fixated on one specific decision they're worried about. A batch release, a CAPA closure, a deviation they just closed. Screen share this live.

What it leads to: Inspection Response Record ($497) — a defensible artifact for that one decision.

Open the Homepage Tool →
Top-of-funnel content entry

The Inspection Record

The editorial companion site. Articles, a 483 observation library, and a lighter diagnostic. Use it for clients you're nurturing — the ones who read your posts on LinkedIn but aren't ready for a product conversation. It feels like editorial, not a funnel.

When to use it: Content-first outreach. LinkedIn replies. Warm-up sequences.

What it leads to: Back into the ComplianceWorxs product stack once they engage.

Visit The Inspection Record →
02 — Sample Records for Live Demos

Three records. Paste these on a screen share.

Use these on the Paste-Your-Record tool on the homepage. They're realistic but fictional — built to show a client exactly what happens when standard compliance language meets the question an inspector actually asks.

How to use: Share your screen. Open complianceworxs.com. Paste the record below into the text area. Watch the tool produce inspection-ready reasoning. Scroll to the hard contrast line at the end: "An inspector does not ask for better language. They ask who authorized this decision, based on what evidence, and why it was justified." That's the moment your client realizes the gap is real.

Sample 1 — CAPA Effectiveness Justification CAPA Closure
CAPA-2024-0342 — Effectiveness Check Complete

Corrective actions implemented per approved plan. Training completed for all affected personnel (18 operators, 4 supervisors). Updated work instruction WI-7451 rev 3 issued and effective.

Effectiveness review performed 90 days post-implementation per procedure. No recurrence of the originating deviation observed during the monitoring period. Process capability within specification limits. CAPA deemed effective.

Closure authorized based on satisfactory effectiveness data and completion of all corrective actions.

Quality Assurance sign-off complete. Records retained per QMS.

Why it's a good demo: The language is clean but there's no record of who evaluated the effectiveness data, what specific data they reviewed, or whether the reviewer was independent from the implementing group. The tool's output will expose each of these gaps in the contrast line.

Sample 2 — Deviation Root Cause Reasoning Deviation
DEV-2024-0891 — Root Cause Determination

A temperature excursion was observed during routine monitoring of Cold Room CR-3 on 14-Mar-2024. Temperature reached 10.4°C for approximately 42 minutes, exceeding the 2-8°C validated range.

Investigation concluded root cause was a partially obstructed condenser coil resulting in reduced cooling capacity. HVAC maintenance performed corrective cleaning. System returned to validated range following intervention. No material stored in CR-3 during the excursion period was impacted per product stability data.

Deviation classified as minor based on no product impact. Investigation closed.

Why it's a good demo: There's no documented decision owner for the root cause conclusion, no record of what alternative causes were considered and rejected, and no separate product impact assessment with the authorizer named. The classification as "minor" has no documented criteria behind it.

Sample 3 — Batch Release Exception Disposition Batch Release
Lot 2024-B-0417 — Release Disposition

Dissolution testing at timepoint Q=75% returned a result of 73% on Unit 4 of Stage 1 testing. Stage 2 testing initiated per USP <711>. Stage 2 results: mean 78.4%, no individual unit below 70%. Specification met under Stage 2 acceptance criteria.

All other release testing within specification. Batch released for distribution.

QP release signature applied. Batch record filed.

Why it's a good demo: The batch record is complete and the QP signed, but there's no separate authorization record capturing who made the exception disposition, what regulatory standard governed the decision, or why the Stage 2 pass was considered sufficient justification. This is where the inspector question lands.

03 — What To Say

Three client conversations. Three scripts.

You don't sell the product. You name the moment. These are the three situations where a ComplianceWorxs referral writes itself.

Scenario A — PAI coming up
Client mentions an upcoming FDA inspection or pre-approval inspection.
Before our next call, I want you to take this assessment. It's a 20-question inspection simulation — you work it against your last CAPA, your last deviation, your last batch release exception. Real records from your facility. Come back with the results and we'll map the gaps together.
Send: complianceworxs.com/assessment
Next move after results: If they score 8+ gaps, recommend they order another IRR for the next decision under scrutiny. This isn't a one-decision problem.
Scenario B — Fixated on one decision
Client is worried about a specific closed CAPA, deviation, or release that's been nagging them.
Pull up the justification language you have on that decision. Let's paste it into the tool on the ComplianceWorxs homepage and see what it produces. Then read the last line — that's the question the inspector is going to ask, and that's what your record has to answer.
Send: complianceworxs.com
Next move: After the tool exposes the gap, point to the IRR at $497. One record, generated from the customer's own documents. This is a single-decision fix, not infrastructure.
Scenario C — New QA leadership reviewing program
Client has taken over a quality function and is auditing where the exposure sits before committing to next year's plan.
The inspection defensibility review you're trying to do — ComplianceWorxs is built exactly for that. Take the assessment first. Then the next step is another IRR — because what you're describing isn't a one-decision problem. It's across CAPA, deviation, and release on every cycle.
Send: complianceworxs.com/assessment
Next move: Recommend another IRR ($497) for the next decision under scrutiny.
04 — The Pay Math

What you earn, by product.

25% commission on every verified referred transaction. Commissions pay Net 30 after month-end through Stripe Connect.

ProductPriceYour commission
Case files$149(excluded)
Inspection Response Record$497$124.25 per unlock
The line that matters

Every Inspection Response Record your client orders pays $124.25. A client facing recurring regulated decisions orders repeatedly — that's where the referral compounds.

05 — Questions or Need Help?

We're here before and after the referral.

If a client has a question your playbook doesn't answer, email partner@complianceworxs.com. We'll get back within two business days.

When you're ready to submit your first referral, use the partner portal link in your welcome email. Make sure the client email you submit matches the one they use at checkout — that's how Stripe Connect attributes the commission back to you.