Reference Source

Gui Nan Hong Company Limited · 99-39 · HONG KONG SAR

For Gui Nan Hong Company Limited · 99-39 · HONG KONG SAR, import alert is 99-39; import alert name is Detention Without Physical Examination of Imported Food Products That Appear to Be Misbranded; country is HONG KONG SAR; product is Plum Wampee | Dried Pears | Plum Wampee | Plum Wampee | Dried Fruit | Plum Wampee | Lilii Bulbus (Lilium Lancifolium Thunb) | Cordiceps Mushrooms | Gum Tragacanth; product code is 02 - - - -- Whole Grains/Milled Grain Products/Starches | 03 - - - -- Bakery Products/Dough/Mixes/Icings | 04 - - - -- Macaroni/Noodle Products | 05 - - - -- Cereal Preparations/Breakfast Foods | 07 - - - -- Snack Food Items | 09 - - - -- Milk/Butter/Dried Milk Products | 12 - - - -- Cheese/Cheese Products | 13 - - - -- Ice Cream and related Products | 14 - - - -- Filled Milk/Imitation Milk Products | 15 - - - -- Eggs/Egg Products | 16 - - - -- Fishery/Seafood Products | 17 - - - -- Meats, Meat Products and Poultry | 18 - - - -- Vegetable Protein Products | 20 H - - 03 Kumquat, Dried or Paste | 20 - - - -- Fruit/Fruit Products | 20 - - - -- Fruit/Fruit Products | 21 H - - 14 Plum, Dried or Paste | 21 H - - 15 Prunes (Dried Plums), Dried or Paste | 21 - - - -- Fruit/Fruit Products | 21 - - - -- Fruit/Fruit Products | 22 H - - 99 Other Fruit and Fruit Products, Dried and Paste, N.E.C. | 22 - - - -- Fruit/Fruit Products | 23 - - - -- Nuts/Edible Seeds | 24 - - - -- Vegetables/Vegetable Products | 25 L - - 19 Lily (Flower, Bulb, Stem), Dried or Paste | 25 - - - -- Vegetables/Vegetable Products | 25 - - - -- Vegetables/Vegetable Products | 26 - - - -- Vegetable Oils | 27 - - - -- Dressing/Condiments | 28 - - - -- Spices, Flavors And Salts | 29 - - - -- Drinks, Soft Drinks, and Waters | 30 - - - -- Beverage Bases/Concentrates/Nectars | 31 - - - -- Coffee/Tea | 32 - - - -- Alcoholic Beverages | 33 - - - -- Candy W/O Chocolate/Candy Specialties/Chewing Gums | 34 - - - -- Chocolate/Cocoa Products/Cocoa beans | 35 - - - -- Gelatin/Rennet/Pudding Mixes/Pie Fillings | 36 - - - -- Food Sweeteners/Nutritive syrups/honey/molasses | 37 - - - -- Multiple food dinners/Gravies/Sauces/Specialties | 38 - - - -- Soups | 39 - - - -- Prepared Salad Products | 40 A - - -- Baked Goods (Baby) | 40 B - - -- Cereal (Baby) | 40 D - - -- Veg (Baby) | 40 E - - -- Fruit/Juice/Drink (Baby) | 40 F - - -- Meat Prod/Comb Meat Dinner (Baby) | 40 G - - -- Poultry Prod/Comb Poultry Dinner (Baby) | 40 H - - -- High Meat Dinner/Cheese Food (Baby) | 40 I - - -- Fish-Seafood Prod (Baby) | 40 J - - -- Egg Prod (Baby) | 40 K - - -- Pudding/Custard (Baby) | 40 L - - -- Soups/Soup Mix (Baby) | 40 Q - - -- Pasta and Noodle Combination Dinners Without Meat | 40 X - - -- Market Basket Sampling | 40 Y - - -- Baby Food N.E.C. | 41 - - - -- Dietary Conv Food/Meal Replacements | 42 A - - -- Whole Edible Insects (adults and immature stages) | 42 B - - -- Milled Edible Insect Products | 42 C - - -- Edible Insect Bars | 42 D - - -- Edible Insect Bakery Products | 42 E - - -- Edible Insect Candy With Chocolate | 42 F - - -- Edible Insect Candy Without Chocolate | 42 G - - -- Edible Insect Capsules | 42 H - - -- Edible Insect Granola or Trail Mix | 42 I - - -- Edible Insect Jerky | 42 J - - -- Edible Insect Ice Cream and Related Products | 42 K - - -- Edible Insect Oils | 42 L - - -- Edible Insect Smoothies | 42 M - - -- Edible Insect Soups | 42 N - - -- Edible Insect Spreads And Pastes | 42 O - - -- Edible Insect Beverages | 42 P - - -- Edible Insect Protein: Simulated Meats and Tofu | 42 Q - - -- Edible Insect Salts and Spices | 42 R - - -- Edible Insect Products N.E.C. | 52 B - - 06 Corn Husks (Food Related) | 52 B - - 07 Snail Shells (Food Related) | 52 B - - 08 Sausage Casings, Artificial (Food Related) | 52 B - - 12 Non-Edible Bird's Nest | 52 D - - -- Live Animals | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human); date published is 01/09/2026; address is G/F 98 Des Voeux Rd West , Sheung Wan, HONG KONG SAR, verified against its source on 2026-09-16.

Firm
Gui Nan Hong Company Limited verified
Import alert
99-39
Import alert name
Detention Without Physical Examination of Imported Food Products That Appear to Be Misbranded
Country
HONG KONG SAR verified
Address
G/F 98 Des Voeux Rd West , Sheung Wan, HONG KONG SAR verified
Date published
01/09/2026 verified
Product code
02 - - - -- Whole Grains/Milled Grain Products/Starches | 03 - - - -- Bakery Products/Dough/Mixes/Icings | 04 - - - -- Macaroni/Noodle Products | 05 - - - -- Cereal Preparations/Breakfast Foods | 07 - - - -- Snack Food Items | 09 - - - -- Milk/Butter/Dried Milk Products | 12 - - - -- Cheese/Cheese Products | 13 - - - -- Ice Cream and related Products | 14 - - - -- Filled Milk/Imitation Milk Products | 15 - - - -- Eggs/Egg Products | 16 - - - -- Fishery/Seafood Products | 17 - - - -- Meats, Meat Products and Poultry | 18 - - - -- Vegetable Protein Products | 20 H - - 03 Kumquat, Dried or Paste | 20 - - - -- Fruit/Fruit Products | 20 - - - -- Fruit/Fruit Products | 21 H - - 14 Plum, Dried or Paste | 21 H - - 15 Prunes (Dried Plums), Dried or Paste | 21 - - - -- Fruit/Fruit Products | 21 - - - -- Fruit/Fruit Products | 22 H - - 99 Other Fruit and Fruit Products, Dried and Paste, N.E.C. | 22 - - - -- Fruit/Fruit Products | 23 - - - -- Nuts/Edible Seeds | 24 - - - -- Vegetables/Vegetable Products | 25 L - - 19 Lily (Flower, Bulb, Stem), Dried or Paste | 25 - - - -- Vegetables/Vegetable Products | 25 - - - -- Vegetables/Vegetable Products | 26 - - - -- Vegetable Oils | 27 - - - -- Dressing/Condiments | 28 - - - -- Spices, Flavors And Salts | 29 - - - -- Drinks, Soft Drinks, and Waters | 30 - - - -- Beverage Bases/Concentrates/Nectars | 31 - - - -- Coffee/Tea | 32 - - - -- Alcoholic Beverages | 33 - - - -- Candy W/O Chocolate/Candy Specialties/Chewing Gums | 34 - - - -- Chocolate/Cocoa Products/Cocoa beans | 35 - - - -- Gelatin/Rennet/Pudding Mixes/Pie Fillings | 36 - - - -- Food Sweeteners/Nutritive syrups/honey/molasses | 37 - - - -- Multiple food dinners/Gravies/Sauces/Specialties | 38 - - - -- Soups | 39 - - - -- Prepared Salad Products | 40 A - - -- Baked Goods (Baby) | 40 B - - -- Cereal (Baby) | 40 D - - -- Veg (Baby) | 40 E - - -- Fruit/Juice/Drink (Baby) | 40 F - - -- Meat Prod/Comb Meat Dinner (Baby) | 40 G - - -- Poultry Prod/Comb Poultry Dinner (Baby) | 40 H - - -- High Meat Dinner/Cheese Food (Baby) | 40 I - - -- Fish-Seafood Prod (Baby) | 40 J - - -- Egg Prod (Baby) | 40 K - - -- Pudding/Custard (Baby) | 40 L - - -- Soups/Soup Mix (Baby) | 40 Q - - -- Pasta and Noodle Combination Dinners Without Meat | 40 X - - -- Market Basket Sampling | 40 Y - - -- Baby Food N.E.C. | 41 - - - -- Dietary Conv Food/Meal Replacements | 42 A - - -- Whole Edible Insects (adults and immature stages) | 42 B - - -- Milled Edible Insect Products | 42 C - - -- Edible Insect Bars | 42 D - - -- Edible Insect Bakery Products | 42 E - - -- Edible Insect Candy With Chocolate | 42 F - - -- Edible Insect Candy Without Chocolate | 42 G - - -- Edible Insect Capsules | 42 H - - -- Edible Insect Granola or Trail Mix | 42 I - - -- Edible Insect Jerky | 42 J - - -- Edible Insect Ice Cream and Related Products | 42 K - - -- Edible Insect Oils | 42 L - - -- Edible Insect Smoothies | 42 M - - -- Edible Insect Soups | 42 N - - -- Edible Insect Spreads And Pastes | 42 O - - -- Edible Insect Beverages | 42 P - - -- Edible Insect Protein: Simulated Meats and Tofu | 42 Q - - -- Edible Insect Salts and Spices | 42 R - - -- Edible Insect Products N.E.C. | 52 B - - 06 Corn Husks (Food Related) | 52 B - - 07 Snail Shells (Food Related) | 52 B - - 08 Sausage Casings, Artificial (Food Related) | 52 B - - 12 Non-Edible Bird's Nest | 52 D - - -- Live Animals | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) each item verified
Product
Plum Wampee | Dried Pears | Plum Wampee | Plum Wampee | Dried Fruit | Plum Wampee | Lilii Bulbus (Lilium Lancifolium Thunb) | Cordiceps Mushrooms | Gum Tragacanth each item verified
FDA notes
All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | 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(a)(1) of the Act. Label declares 18.8g of Sugar per 100g serving. However, the original FDA laboratory analysis found 49.8g (264.9% of the declared amount. label declares 18.8g of Sugar per 100g serving. However, the original FDA laboratory analysis found 49.8g (264.9% of the declared amount. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | Label declared 260mg of Calcium and 8mg of Iron per 28g serving. FDA analysis found an average of 7.55 mg (2.9% of the declared amount) for Calcium and an average of 0.434 mg (6.1% of the declared amount) for Iron in this product. | 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(a)(1) of the Act. Label declares 18.8g of Sugar per 100g serving. However, the original FDA laboratory analysis found 49.8g (264.9% of the declared amount. label declares 18.8g of Sugar per 100g serving. However, the original FDA laboratory analysis found 49.8g (264.9% of the declared amount. | 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(a)(1) of the Act. Label declares 18.8g of Sugar per 100g serving. However, the original FDA laboratory analysis found 49.8g (264.9% of the declared amount. label declares 18.8g of Sugar per 100g serving. However, the original FDA laboratory analysis found 49.8g (264.9% of the declared amount. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | Label declared 260mg of Calcium and 8mg of Iron per 10g serving. FDA analysis found an average of 17.7mg (6.8% of the declared amount) for Calcium and an average of 0.90 mg (0.09% of the declared amount) for Iron in this product. | 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(a)(1) of the Act. Label declares 18.8g of Sugar per 100g serving. However, the original FDA laboratory analysis found 49.8g (264.9% of the declared amount. label declares 18.8g of Sugar per 100g serving. However, the original FDA laboratory analysis found 49.8g (264.9% of the declared amount. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | The product is subject to refusal of admission pursuant to section 801(a)(3), in that it appears to be misbranded within the meaning of section 403(a)(1) of the Act, because the amount of iron and calcium found in the lab analysis does not meet the requirements under 21 CFR 101.9(g)(4)(ii) in that it is not equal to at least 80 percent of the value of the declared amount on the label. Specifically, the amount of Iron declared on the label (8mg) verse the amount found in the original analysis (1.02mg) and check analysis (0.958mg), and the amount of Calcium declared on the label (260mg) verse the amount found in the original analysis (4.78mg) and check analysis (4.93mg). Additionally, the % Daily Value for added sugars was declared as 0% but calculated as 20% per 21 CFR 101.9(d)(7)(ii). | Label declared 260mg of Calcium and 8mg of Iron per 28g serving. FDA analysis found an average of 7.94 mg (3.1% of the declared amount) for Calcium and 0.423 mg (5.4% of the declared amount) for Iron in this product. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. | Label declared 8mg of Iron per 28g serving. FDA analysis found an average of 0.14 mg (0.1% of the declared amount) for Iron in this product. each item verified
Sourceaccessdata.fda.gov
Verified
Review by
DatasetFDA import alert red lists: firms subject to detention without physical examination

What the source says

Gui Nan Hong Company Limited Date Published : 01/09/2026 G/F 98 Des Voeux Rd West , Sheung Wan, HONG KONG SAR 02 - - - -- Whole Grains/Milled Grain Products/Starches Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 03 - - - -- Bakery Products/Dough/Mixes/Icings Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 04 - - - -- Macaroni/Noodle Products Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 05 - - - -- Cereal Preparations/Breakfast Foods Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 07 - - - -- Snack Food Items Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 09 - - - -- Milk/Butter/Dried Milk Products Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 12 - - - -- Cheese/Cheese Products Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 13 - - - -- Ice Cream and related Products Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 14 - - - -- Filled Milk/Imitation Milk Products Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 15 - - - -- Eggs/Egg Products Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 16 - - - -- Fishery/Seafood Products Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 17 - - - -- Meats, Meat Products and Poultry Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 18 - - - -- Vegetable Protein Products Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 20 H - - 03 Kumquat, Dried or Paste Date Published: 01/20/2026 Desc: Plum Wampee 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(a)(1) of the Act. Label declares 18.8g of Sugar per 100g serving. However, the original FDA laboratory analysis found 49.8g (264.9% of the declared amount. label declares 18.8g of Sugar per 100g serving. However, the original FDA laboratory analysis found 49.8g (264.9% of the declared amount. 20 - - - -- Fruit/Fruit Products Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 20 - - - -- Fruit/Fruit Products Date Published: 05/13/2026 Desc: Dried Pears Notes: Label declared 260mg of Calcium and 8mg of Iron per 28g serving. FDA analysis found an average of 7.55 mg (2.9% of the declared amount) for Calcium and an average of 0.434 mg (6.1% of the declared amount) for Iron in this product. 21 H - - 14 Plum, Dried or Paste Date Published: 01/20/2026 Desc: Plum Wampee 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(a)(1) of the Act. Label declares 18.8g of Sugar per 100g serving. However, the original FDA laboratory analysis found 49.8g (264.9% of the declared amount. label declares 18.8g of Sugar per 100g serving. However, the original FDA laboratory analysis found 49.8g (264.9% of the declared amount. 21 H - - 15 Prunes (Dried Plums), Dried or Paste Date Published: 01/20/2026 Desc: Plum Wampee 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(a)(1) of the Act. Label declares 18.8g of Sugar per 100g serving. However, the original FDA laboratory analysis found 49.8g (264.9% of the declared amount. label declares 18.8g of Sugar per 100g serving. However, the original FDA laboratory analysis found 49.8g (264.9% of the declared amount. 21 - - - -- Fruit/Fruit Products Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 21 - - - -- Fruit/Fruit Products Date Published: 05/13/2026 Desc: Dried Fruit Notes: Label declared 260mg of Calcium and 8mg of Iron per 10g serving. FDA analysis found an average of 17.7mg (6.8% of the declared amount) for Calcium and an average of 0.90 mg (0.09% of the declared amount) for Iron in this product. 22 H - - 99 Other Fruit and Fruit Products, Dried and Paste, N.E.C. Date Published: 01/20/2026 Desc: Plum Wampee 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(a)(1) of the Act. Label declares 18.8g of Sugar per 100g serving. However, the original FDA laboratory analysis found 49.8g (264.9% of the declared amount. label declares 18.8g of Sugar per 100g serving. However, the original FDA laboratory analysis found 49.8g (264.9% of the declared amount. 22 - - - -- Fruit/Fruit Products Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 23 - - - -- Nuts/Edible Seeds Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 24 - - - -- Vegetables/Vegetable Products Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 25 L - - 19 Lily (Flower, Bulb, Stem), Dried or Paste Date Published: 01/09/2026 Desc: Lilii Bulbus (Lilium Lancifolium Thunb) Notes: The product is subject to refusal of admission pursuant to section 801(a)(3), in that it appears to be misbranded within the meaning of section 403(a)(1) of the Act, because the amount of iron and calcium found in the lab analysis does not meet the requirements under 21 CFR 101.9(g)(4)(ii) in that it is not equal to at least 80 percent of the value of the declared amount on the label. Specifically, the amount of Iron declared on the label (8mg) verse the amount found in the original analysis (1.02mg) and check analysis (0.958mg), and the amount of Calcium declared on the label (260mg) verse the amount found in the original analysis (4.78mg) and check analysis (4.93mg). Additionally, the % Daily Value for added sugars was declared as 0% but calculated as 20% per 21 CFR 101.9(d)(7)(ii). 25 - - - -- Vegetables/Vegetable Products Date Published: 05/13/2026 Desc: Cordiceps Mushrooms Notes: Label declared 260mg of Calcium and 8mg of Iron per 28g serving. FDA analysis found an average of 7.94 mg (3.1% of the declared amount) for Calcium and 0.423 mg (5.4% of the declared amount) for Iron in this product. 25 - - - -- Vegetables/Vegetable Products Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 26 - - - -- Vegetable Oils Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 27 - - - -- Dressing/Condiments Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 28 - - - -- Spices, Flavors And Salts Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 29 - - - -- Drinks, Soft Drinks, and Waters Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 30 - - - -- Beverage Bases/Concentrates/Nectars Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 31 - - - -- Coffee/Tea Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 32 - - - -- Alcoholic Beverages Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 33 - - - -- Candy W/O Chocolate/Candy Specialties/Chewing Gums Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 34 - - - -- Chocolate/Cocoa Products/Cocoa beans Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 35 - - - -- Gelatin/Rennet/Pudding Mixes/Pie Fillings Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 36 - - - -- Food Sweeteners/Nutritive syrups/honey/molasses Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 37 - - - -- Multiple food dinners/Gravies/Sauces/Specialties Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 38 - - - -- Soups Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 39 - - - -- Prepared Salad Products Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 40 A - - -- Baked Goods (Baby) Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 40 B - - -- Cereal (Baby) Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 40 D - - -- Veg (Baby) Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 40 E - - -- Fruit/Juice/Drink (Baby) Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 40 F - - -- Meat Prod/Comb Meat Dinner (Baby) Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 40 G - - -- Poultry Prod/Comb Poultry Dinner (Baby) Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 40 H - - -- High Meat Dinner/Cheese Food (Baby) Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 40 I - - -- Fish-Seafood Prod (Baby) Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 40 J - - -- Egg Prod (Baby) Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 40 K - - -- Pudding/Custard (Baby) Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 40 L - - -- Soups/Soup Mix (Baby) Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 40 Q - - -- Pasta and Noodle Combination Dinners Without Meat Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 40 X - - -- Market Basket Sampling Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 40 Y - - -- Baby Food N.E.C. Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 41 - - - -- Dietary Conv Food/Meal Replacements Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 42 A - - -- Whole Edible Insects (adults and immature stages) Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 42 B - - -- Milled Edible Insect Products Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 42 C - - -- Edible Insect Bars Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 42 D - - -- Edible Insect Bakery Products Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 42 E - - -- Edible Insect Candy With Chocolate Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 42 F - - -- Edible Insect Candy Without Chocolate Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 42 G - - -- Edible Insect Capsules Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 42 H - - -- Edible Insect Granola or Trail Mix Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 42 I - - -- Edible Insect Jerky Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 42 J - - -- Edible Insect Ice Cream and Related Products Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 42 K - - -- Edible Insect Oils Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 42 L - - -- Edible Insect Smoothies Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 42 M - - -- Edible Insect Soups Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 42 N - - -- Edible Insect Spreads And Pastes Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 42 O - - -- Edible Insect Beverages Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 42 P - - -- Edible Insect Protein: Simulated Meats and Tofu Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 42 Q - - -- Edible Insect Salts and Spices Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 42 R - - -- Edible Insect Products N.E.C. Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 52 B - - 06 Corn Husks (Food Related) Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 52 B - - 07 Snail Shells (Food Related) Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 52 B - - 08 Sausage Casings, Artificial (Food Related) Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 52 B - - 12 Non-Edible Bird's Nest Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 52 D - - -- Live Animals Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 05/13/2026 Notes: All food products GPI=FO, VI 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(a)(1) of the Act. Products are declared as “Amomum Villosum,” “Cordeceps Flower” and “Dried Fructus Pyri,” not “Dried Fruit – Fructus Amomi,” “Cordiceps Mushrooms” not “Dried Pears.” the declared quantitative amount, of Iron for all products and Calcium for Cordiceps Mushrooms, Dried Pears, and Dried Fruit, declared in the Nutrition Facts label appears to be incorrect, based of FDA laboratory analysis. When a vitamin, mineral, protein, total carbohydrate, polyunsaturated or monounsaturated fat, or dietary fiber meets the definition of a Class II nutrient, the nutrient content of the composite must be at least equal to 80 percent of the value declared on the label. Provided, that no regulatory action will be based on a determination of a nutrient value that falls below this level by a factor less than the variability generally recognized for the analytical method used in that food at the level involved. (21 CFR 101.9(g)(4)(ii)). The principal display panel does not appear to include the statement of identity in accordance 21 CFR 101.3. For example, the Gum Tragacanth product does not appear to include a statement of identity, and products declared as “Amomum Villosum“, “Cordeceps Flower” and “Dried Fructus Pyri” do not appear to be a common or usual name of the food. 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 05/13/2026 Desc: Gum Tragacanth Notes: Label declared 8mg of Iron per 28g serving. FDA analysis found an average of 0.14 mg (0.1% of the declared amount) for Iron in this product.

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