Kunming Aoqun Bio-Tech Co,. Ltd · 99-39 · CHINA
For Kunming Aoqun Bio-Tech 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 Muscle Ease dietary supplement; product code is 54 Y - - 99 Vitamin, Mineral, Proteins and Unconventional Dietary Specialities For Humans and Animals, N.E.C; date published is 11/21/2024; address is Kunming National High & New Room 2nd , Floor;209 2188 No. Kegao Road , Kunming, Yunnan CHINA, verified against its source on 2026-09-16.
- Firm
- Kunming Aoqun Bio-Tech 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
- Kunming National High & New Room 2nd , Floor;209 2188 No. Kegao Road , Kunming, Yunnan CHINA verified
- Date published
- 11/21/2024 verified
- Product code
- 54 Y - - 99 Vitamin, Mineral, Proteins and Unconventional Dietary Specialities For Humans and Animals, N.E.C. verified
- Product
- Muscle Ease dietary supplement verified
- 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(q) of the Act. Serving size declared on the label is incorrect. Serving size for a dietary supplement is the maximum amount consumed per eating occasion as recommended on the product label as defined in 21 CFR 101.9(b) and 21 CFR 101.12(b) Table 2. The article’s “Suggested Use” instructions state “For the best results, take 2-3 capsules daily, or as required”. The serving size should be 3 capsules. Nutrition information on the labeling does not comply with 21 CFR 101.36 and 101.9. “Supplements Facts”, is not set at full width of the nutrition label (21 CFR101.36(e)(1)). No provision in the regulation to include the heading “ingredients” within the Supplement Facts label. A heavy bar is not placed beneath the subheading “Servings Per Container” (21 CFR 101.36(e)(6)(i)), and beneath the final (b)(2)-dietary ingredient (21 CFR 101.36(e)(6)(ii)). Dietary ingredients that comprise the proprietary blend do not appear to be indented (21 CFR 101.36(c)(2)). Missing hairline rules centered between the lines of text to separate the dietary ingredients above from the dietary ingredients below (21 CFR 101.36(c)(2) and (e)(5)). Section 403(i)(2) of the Act. Label fails to declare all the common or usual names of each ingredient (21 CFR 101.36 and 21 CFR 101.4(h). Label lists “Panax Notoginseng”, but this is not the standardized common name (SCN) in the reference Herbs of Commerce (HOC). Section 403(s)(2)(C) of the Act. Labels fail to identify the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived (21 CFR 101.4(h), botanical dietary ingredients “Turmeric” and “Tart Cherry” do not list the plant part. verified
What the source says
Kunming Aoqun Bio-Tech Co,. Ltd Date Published : 11/21/2024 Kunming National High & New Room 2nd , Floor;209 2188 No. Kegao Road , Kunming, Yunnan CHINA 54 Y - - 99 Vitamin, Mineral, Proteins and Unconventional Dietary Specialities For Humans and Animals, N.E.C. Date Published: 11/21/2024 Desc: Muscle Ease dietary supplement 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(q) of the Act. Serving size declared on the label is incorrect. Serving size for a dietary supplement is the maximum amount consumed per eating occasion as recommended on the product label as defined in 21 CFR 101.9(b) and 21 CFR 101.12(b) Table 2. The article’s “Suggested Use” instructions state “For the best results, take 2-3 capsules daily, or as required”. The serving size should be 3 capsules. Nutrition information on the labeling does not comply with 21 CFR 101.36 and 101.9. “Supplements Facts”, is not set at full width of the nutrition label (21 CFR101.36(e)(1)). No provision in the regulation to include the heading “ingredients” within the Supplement Facts label. A heavy bar is not placed beneath the subheading “Servings Per Container” (21 CFR 101.36(e)(6)(i)), and beneath the final (b)(2)-dietary ingredient (21 CFR 101.36(e)(6)(ii)). Dietary ingredients that comprise the proprietary blend do not appear to be indented (21 CFR 101.36(c)(2)). Missing hairline rules centered between the lines of text to separate the dietary ingredients above from the dietary ingredients below (21 CFR 101.36(c)(2) and (e)(5)). Section 403(i)(2) of the Act. Label fails to declare all the common or usual names of each ingredient (21 CFR 101.36 and 21 CFR 101.4(h). Label lists “Panax Notoginseng”, but this is not the standardized common name (SCN) in the reference Herbs of Commerce (HOC). Section 403(s)(2)(C) of the Act. Labels fail to identify the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived (21 CFR 101.4(h), botanical dietary ingredients “Turmeric” and “Tart Cherry” do not list the plant part.
— accessdata.fda.gov, retrieved 2026-09-15
Source
- accessdata.fda.govhttps://www.accessdata.fda.gov/cms_ia/importalert_1144.html
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