# kishwan snacks ltd · 99-39 · BANGLADESH — FDA import alert red lists: firms subject to detention without physical examination For kishwan snacks ltd · 99-39 · BANGLADESH, import alert is 99-39; import alert name is Detention Without Physical Examination of Imported Food Products That Appear to Be Misbranded; country is BANGLADESH; product is SALTINE SALTED COOKIES | SALTINE SALTED COOKIES; product code is 03 H - - 99 Plain Cookies,Biscuits and Wafers, N.E.C. | 03 M - - 99 Cookie,Biscuit,Wafer Dough, N.E.C; date published is 06/08/2023; address is 397, Sk. Mujib Road, Pathantooly , Agrabad , Chittagong, BD-10 BANGLADESH, verified against its source on 2026-09-16. - **Firm:** kishwan snacks ltd _(verified: appears in the quote below)_ - **Import alert:** 99-39 - **Import alert name:** Detention Without Physical Examination of Imported Food Products That Appear to Be Misbranded - **Country:** BANGLADESH _(verified: appears in the quote below)_ - **Address:** 397, Sk. Mujib Road, Pathantooly , Agrabad , Chittagong, BD-10 BANGLADESH _(verified: appears in the quote below)_ - **Date published:** 06/08/2023 _(verified: appears in the quote below)_ - **Product code:** 03 H - - 99 Plain Cookies,Biscuits and Wafers, N.E.C. | 03 M - - 99 Cookie,Biscuit,Wafer Dough, N.E.C. _(verified: each item appears in the quote below)_ - **Product:** SALTINE SALTED COOKIES | SALTINE SALTED COOKIES _(verified: each item appears in the quote below)_ - **FDA notes:** The article is subject to refusal of admission pursuant to Section 801(a)(3) in that the product appears to be misbranded within the meaning of: Section 403(f) of the Act because it contains information in multiple languages; therefore, all required information must be in all represented languages (i.e., the English language as well as any foreign languages). Required label information is not prominently placed to be read and understood by the ordinary individual under customary conditions of purchase and use: 21 CFR 101.15(a) and (b), 21 CFR 101.1, 21 CFR 101.2(c), and 21 CFR 101.7(h) and (f). The Net Quantity of contents does not appear as a distinct item on the Principal Display Panel (PDP): 21 CFR 101.7(f) and (h). Section 403(i)(2) of the Act in that the product is fabricated from two or more ingredients and the common or usual name of each ingredient is not declared on the label, as required under 21 CFR 101.4. 21 CFR 101.4(b)(16) does not provide for the use of the collective term “rising agents.” It is not clear whether “vegetable oil & fat (palm oil)” is an appropriate declaration in accordance with 21 CFR 101.4(b)(14) or whether it is a multicomponent ingredient. Section 403(q) of the Act in that the nutrition information (e.g. Nutrition Facts label) is not as required by 21 CFR 101.9. The serving size does not appear to be based on the RACC for cookies (30 g), and in a common household measure as required by 21 CFR 101.9(b)(2) and 21 CFR 101.9(b)(7), respectively. The Nutrition Facts Label (NFL) is not in the format provided in 21 CFR 101.9; missing Total Sugars, Added Sugars, Potassium, and Vitamin D. Calories, Total Fat, Saturated Fat, and Protein declarations are not expressed in the appropriate increments as required by 21 CFR 101.9(c). Declaration of Calories from fat that is not provided for and the use of a footnote that is no longer permitted in the updated NFL. | The article is subject to refusal of admission pursuant to Section 801(a)(3) in that the product appears to be misbranded within the meaning of: Section 403(f) of the Act because it contains information in multiple languages; therefore, all required information must be in all represented languages (i.e., the English language as well as any foreign languages). Required label information is not prominently placed to be read and understood by the ordinary individual under customary conditions of purchase and use: 21 CFR 101.15(a) and (b), 21 CFR 101.1, 21 CFR 101.2(c), and 21 CFR 101.7(h) and (f). The Net Quantity of contents does not appear as a distinct item on the Principal Display Panel (PDP): 21 CFR 101.7(f) and (h). Section 403(i)(2) of the Act in that the product is fabricated from two or more ingredients and the common or usual name of each ingredient is not declared on the label, as required under 21 CFR 101.4. 21 CFR 101.4(b)(16) does not provide for the use of the collective term “rising agents.” It is not clear whether “vegetable oil & fat (palm oil)” is an appropriate declaration in accordance with 21 CFR 101.4(b)(14) or whether it is a multicomponent ingredient. Section 403(q) of the Act in that the nutrition information (e.g. Nutrition Facts label) is not as required by 21 CFR 101.9. The serving size does not appear to be based on the RACC for cookies (30 g), and in a common household measure as required by 21 CFR 101.9(b)(2) and 21 CFR 101.9(b)(7), respectively. The Nutrition Facts Label (NFL) is not in the format provided in 21 CFR 101.9; missing Total Sugars, Added Sugars, Potassium, and Vitamin D. Calories, Total Fat, Saturated Fat, and Protein declarations are not expressed in the appropriate increments as required by 21 CFR 101.9(c). Declaration of Calories from fat that is not provided for and the use of a footnote that is no longer permitted in the updated NFL. _(verified: each item appears in the quote below)_ ## What the source says > kishwan snacks ltd Date Published : 06/08/2023 397, Sk. Mujib Road, Pathantooly , Agrabad , Chittagong, BD-10 BANGLADESH 03 H - - 99 Plain Cookies,Biscuits and Wafers, N.E.C. Date Published: 06/08/2023 Desc: SALTINE SALTED COOKIES Notes: The article is subject to refusal of admission pursuant to Section 801(a)(3) in that the product appears to be misbranded within the meaning of: Section 403(f) of the Act because it contains information in multiple languages; therefore, all required information must be in all represented languages (i.e., the English language as well as any foreign languages). Required label information is not prominently placed to be read and understood by the ordinary individual under customary conditions of purchase and use: 21 CFR 101.15(a) and (b), 21 CFR 101.1, 21 CFR 101.2(c), and 21 CFR 101.7(h) and (f). The Net Quantity of contents does not appear as a distinct item on the Principal Display Panel (PDP): 21 CFR 101.7(f) and (h). Section 403(i)(2) of the Act in that the product is fabricated from two or more ingredients and the common or usual name of each ingredient is not declared on the label, as required under 21 CFR 101.4. 21 CFR 101.4(b)(16) does not provide for the use of the collective term “rising agents.” It is not clear whether “vegetable oil & fat (palm oil)” is an appropriate declaration in accordance with 21 CFR 101.4(b)(14) or whether it is a multicomponent ingredient. Section 403(q) of the Act in that the nutrition information (e.g. Nutrition Facts label) is not as required by 21 CFR 101.9. The serving size does not appear to be based on the RACC for cookies (30 g), and in a common household measure as required by 21 CFR 101.9(b)(2) and 21 CFR 101.9(b)(7), respectively. The Nutrition Facts Label (NFL) is not in the format provided in 21 CFR 101.9; missing Total Sugars, Added Sugars, Potassium, and Vitamin D. Calories, Total Fat, Saturated Fat, and Protein declarations are not expressed in the appropriate increments as required by 21 CFR 101.9(c). Declaration of Calories from fat that is not provided for and the use of a footnote that is no longer permitted in the updated NFL. 03 M - - 99 Cookie,Biscuit,Wafer Dough, N.E.C. Date Published: 06/08/2023 Desc: SALTINE SALTED COOKIES Notes: The article is subject to refusal of admission pursuant to Section 801(a)(3) in that the product appears to be misbranded within the meaning of: Section 403(f) of the Act because it contains information in multiple languages; therefore, all required information must be in all represented languages (i.e., the English language as well as any foreign languages). Required label information is not prominently placed to be read and understood by the ordinary individual under customary conditions of purchase and use: 21 CFR 101.15(a) and (b), 21 CFR 101.1, 21 CFR 101.2(c), and 21 CFR 101.7(h) and (f). The Net Quantity of contents does not appear as a distinct item on the Principal Display Panel (PDP): 21 CFR 101.7(f) and (h). Section 403(i)(2) of the Act in that the product is fabricated from two or more ingredients and the common or usual name of each ingredient is not declared on the label, as required under 21 CFR 101.4. 21 CFR 101.4(b)(16) does not provide for the use of the collective term “rising agents.” It is not clear whether “vegetable oil & fat (palm oil)” is an appropriate declaration in accordance with 21 CFR 101.4(b)(14) or whether it is a multicomponent ingredient. Section 403(q) of the Act in that the nutrition information (e.g. Nutrition Facts label) is not as required by 21 CFR 101.9. The serving size does not appear to be based on the RACC for cookies (30 g), and in a common household measure as required by 21 CFR 101.9(b)(2) and 21 CFR 101.9(b)(7), respectively. The Nutrition Facts Label (NFL) is not in the format provided in 21 CFR 101.9; missing Total Sugars, Added Sugars, Potassium, and Vitamin D. Calories, Total Fat, Saturated Fat, and Protein declarations are not expressed in the appropriate increments as required by 21 CFR 101.9(c). Declaration of Calories from fat that is not provided for and the use of a footnote that is no longer permitted in the updated NFL. ## Source - https://www.accessdata.fda.gov/cms_ia/importalert_1144.html Last verified: 2026-09-16. Review by: 2026-11-15. Part of [FDA import alert red lists: firms subject to detention without physical examination](https://referencesource.org/fda-import-alert-red-list/).