Ashbury’s FDA Labeling Consultants Give Their 5 Tips For Developing Compliant Labels

 A label communicates your food products attributes to consumers to help them make safe and informed choices. While this may seem simple, there are hundreds of regulations that dictate how this information is presented. Understanding the requirements relevant to your products, as well as how these interact with one another and can be applied, is crucial for ensuring speed to market and reducing the risk of costly errors or delays. 

 

Our US FDA labeling consultants and Food regulatory consultant have seen many innovations come to market and helped businesses large and small to navigate complicated regulations. We asked them to share their top five tips for developing compliant labels right from the start:

#1 – Ensure standards of identity are met 

Standards of identity are set forth by the FDA which define what a particular food product must contain and/or not contain. Products like cheddar cheese, milk chocolate and macaroni all have standards of identity. Is there a standard of identity for your product and/or its ingredients? An FDA labeling consultant can help you find out. You can also reference the FDA labeling guidance here to determine if your product needs to meet certain standards. 

#2 – Ensure added flavors are correctly identified in the ingredient statement and in the product name

Should your product contain any natural and/or artificial flavoring that is the same characterizing flavor as the food product, the correct disclosure/terminology might need to be called out in the product name and in the ingredient statement. To determine if the flavoring added is natural or artificial, or whether “with other natural flavors” is needed, reference the FDA labeling guidance in 21 CFR 101.22

#3 – Common/Usual Names 

Ingredients listed within the ingredient statement must be declared using their common and usual names. Descriptive terminology is not permitted. For example, you cannot call an ingredient “Vine Ripened Fresh California Tomatoes” within the ingredient statement. The correct term would be “Tomatoes”. Consult food regulatory consultant if you are unsure how your ingredient should be declared. 

#4 – Sub-Ingredients 

All sub-ingredients need to be listed within the ingredient statement. Collective terminology is permitted when followed by sub-ingredients, for example, “Sauce (Tomatoes, Tomato Juice, Water, Tomato Paste, Onions, Parmesan Cheese, etc).” However, incidental additives, including processing aids, that are present in a food at insignificant levels and do not have any technical or functional effect in that food do not need to be declared. Check with an FDA labeling consultant if you are unsure how your ingredients should be displayed to be compliant.

#5 Nutrition Facts Panel Formatting 

 

Updating the nutrition facts panel formatting to the new NLEA can be a challenge, but following the FDA labeling guidance in 21 CFR 101.9 and discussing with food regulatory consultants makes the process much easier. Ensure all point sizes meet minimum requirements, indentations are added where needed and all nutrients are rounded per FDA guidelines. Also keep in mind if your product is enriched with additional vitamins and minerals, they need to be declared in the Nutrition Facts Panel as well. 

 

There is a lot to consider when piecing your label together but these are some of the most common errors we see each day, both in the work we do and in the court of law – such as recent vanilla flavor litigation cases. 

 

If you have any queries for the US domestic market or further abroad, we have a network of advisors globally who can help you understand, apply and comply with food regulations.

 

Originally published in : https://bit.ly/3Fsw9Z6

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