Reference Source

Kaiping Qinghui Food Co., Ltd. · 99-39 · CHINA

For Kaiping Qinghui Food Co., Ltd. · 99-39 · CHINA, import alert is 99-39; import alert name is Detention Without Physical Examination of Imported Food Products That Appear to Be Misbranded; country is CHINA; product is Binji Ox Ear Biscuits; product code is 03 A - - 03 Biscuits; date published is 07/18/2022; address is Number 12 Industrial Avenue, New District, Huanggang Town , Kaiping , Jiangmen City, Guangdong Province CHINA, verified against its source on 2026-09-16.

Firm
Kaiping Qinghui Food Co., Ltd. verified
Import alert
99-39
Import alert name
Detention Without Physical Examination of Imported Food Products That Appear to Be Misbranded
Country
CHINA verified
Address
Number 12 Industrial Avenue, New District, Huanggang Town , Kaiping , Jiangmen City, Guangdong Province CHINA verified
Date published
07/18/2022 verified
Product code
03 A - - 03 Biscuits verified
Product
Binji Ox Ear Biscuits verified
FDA notes
The article is subject to refusal of admission pursuant to Section 801(a)(3) of the FD&C Act in that it appears to be misbranded within the meaning of: Section 403(q) of the FD&C Act in that the label or labeling fails to bear the required nutrition information (21 CFR 101.9). Serving size is declared as “1 Serving Per Container” and “100g,” but the net weight of the entire package is only 52g. Section 403(f) of the Act in that product label contains information in two languages but does not repeat all the required information in both languages 21 CFR 101.15(c)(2). Section 403(i)(1) of the Act in that the product label fails to bear the common or usual name of the food as required by 21 CFR 101.3(b). Principal Display Panel states the product is an “Ox Ear Biscuit” and the label attached to the information panel says “biscuit.” In North America, a biscuit is a small, typically round cake of bread leavened with baking powder, baking soda, or sometimes yeast. Based on the product images, this product appears to be thin, and maybe even crispy, and does not represent a biscuit product in the US. Additionally, the product does not contain any “ox” ingredient; even if “ox ear” is meant to be descriptive of the product’s shape, we question if the average US consumer would not be misled by the product name as currently declared on the PDP. Section 403(i)(2) of the Act in that each ingredient is not declared by its common or usual name in accordance with 21 CFR 101.4. “Compound antioxidant” does not appear to be an appropriate and specific common or usual name for an ingredient, as required by 21 CFR 101.4(a)(1). The sub-ingredients for the red bean curd sauce include “soy sauce,” which is known to also be a multi-ingredient product; however, the sub-ingredients of the soy sauce are not listed as required by 21 CFR 101.4(b)(2)(i). verified
Sourceaccessdata.fda.gov
Verified
Review by
DatasetFDA import alert red lists: firms subject to detention without physical examination

What the source says

Kaiping Qinghui Food Co., Ltd. Date Published : 07/18/2022 Number 12 Industrial Avenue, New District, Huanggang Town , Kaiping , Jiangmen City, Guangdong Province CHINA 03 A - - 03 Biscuits Date Published: 07/18/2022 Desc: Binji Ox Ear Biscuits Notes: The article is subject to refusal of admission pursuant to Section 801(a)(3) of the FD&C Act in that it appears to be misbranded within the meaning of: Section 403(q) of the FD&C Act in that the label or labeling fails to bear the required nutrition information (21 CFR 101.9). Serving size is declared as “1 Serving Per Container” and “100g,” but the net weight of the entire package is only 52g. Section 403(f) of the Act in that product label contains information in two languages but does not repeat all the required information in both languages 21 CFR 101.15(c)(2). Section 403(i)(1) of the Act in that the product label fails to bear the common or usual name of the food as required by 21 CFR 101.3(b). Principal Display Panel states the product is an “Ox Ear Biscuit” and the label attached to the information panel says “biscuit.” In North America, a biscuit is a small, typically round cake of bread leavened with baking powder, baking soda, or sometimes yeast. Based on the product images, this product appears to be thin, and maybe even crispy, and does not represent a biscuit product in the US. Additionally, the product does not contain any “ox” ingredient; even if “ox ear” is meant to be descriptive of the product’s shape, we question if the average US consumer would not be misled by the product name as currently declared on the PDP. Section 403(i)(2) of the Act in that each ingredient is not declared by its common or usual name in accordance with 21 CFR 101.4. “Compound antioxidant” does not appear to be an appropriate and specific common or usual name for an ingredient, as required by 21 CFR 101.4(a)(1). The sub-ingredients for the red bean curd sauce include “soy sauce,” which is known to also be a multi-ingredient product; however, the sub-ingredients of the soy sauce are not listed as required by 21 CFR 101.4(b)(2)(i).

accessdata.fda.gov, retrieved 2026-09-15

Source

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