Tablets & Capsules

TC0419

Issue link: https://www.e-digitaleditions.com/i/1101841

Contents of this Issue

Navigation

Page 35 of 55

I since the regulations that implemented the 1994 Dietary Supplement Health and Education Act. For many companies, the compliance date for these final rules is rapidly approaching. The FDA has set the compliance date to be the date on which the product is labeled. Companies selling products in the US that have more than $10 million in food sales, must comply with the new regulations by January 1, 2020, while smaller companies have an additional year to comply [3]. To help manufacturers understand the updated nutrition labeling requirements in 21 CFR 101.9 and 101.36, the FDA has also published one additional final rule, six guid- ances for industry, and two draft guidances for industry. This article describes updates to the nutrition labeling require- ments for dietary supplements and explains what supplement manufacturers must do to remain in compliance. n May 2016, the FDA published two final rules about nutrition labeling, one focused on revisions to food and supplement nutrition labeling requirements (21 CFR 101.9 and 101.36) [1, 2], and the other focused on serv- ing sizes of foods that can reasonably be consumed in one eating occasion (CFR 101.12). These rules were the first major overhauls of nutrition labeling requirements Complying with new FDA requirements for dietary supplement nutrition labels Gisela Leon EAS Consulting regulatory compliance 32B April 2019 Tablets & Capsules

Articles in this issue

Archives of this issue

view archives of Tablets & Capsules - TC0419