Reference Source

VAHDAM TEAS PVT LT · 99-39 · INDIA

For VAHDAM TEAS PVT LT · 99-39 · INDIA, import alert is 99-39; import alert name is Detention Without Physical Examination of Imported Food Products That Appear to Be Misbranded; country is INDIA; product is Turmeric Ashwagandha Latte Mix | Turmeric Ashwagandha Latte Mix | Turmeric Ashwagandha Latte Mix | Turmeric Ashwagandha Latte Mix | Turmeric Ashwagandha Latte Mix | Turmeric Ashwagandha Latte Mix | Turmeric Ashwagandha Latte Mix | Turmeric Ashwagandha Latte Mix | Turmeric Ashwagandha Latte Mix; product code is 28 C - - 49 Turmeric, Natural Extract or Flavor (Spice) | 31 G - - 02 Flavored Coffee Drink | 31 K - - 01 Tea, Black | 31 K - - 99 Tea, N.E.C. | 31 L - - 40 Tea, Instant Mix (with Lemon, Sugar, Etc.), Decaffeinated | 31 M - - 02 Tea With Extracts or Concentrates | 31 P - - 99 Tea Substitutes, N.E.C. | 54 E - - 94 Ashwagandha (Herbal & Botanical Teas) | 54 E - - 99 Herbals & Botanical Teas, N.E.C; date published is 06/04/2025; address is C 12/3, Sector 85 , National Capital Region , Noida, Uttar Pradesh INDIA, verified against its source on 2026-09-16.

Firm
VAHDAM TEAS PVT LT verified
Import alert
99-39
Import alert name
Detention Without Physical Examination of Imported Food Products That Appear to Be Misbranded
Country
INDIA verified
Address
C 12/3, Sector 85 , National Capital Region , Noida, Uttar Pradesh INDIA verified
Date published
06/04/2025 verified
Product code
28 C - - 49 Turmeric, Natural Extract or Flavor (Spice) | 31 G - - 02 Flavored Coffee Drink | 31 K - - 01 Tea, Black | 31 K - - 99 Tea, N.E.C. | 31 L - - 40 Tea, Instant Mix (with Lemon, Sugar, Etc.), Decaffeinated | 31 M - - 02 Tea With Extracts or Concentrates | 31 P - - 99 Tea Substitutes, N.E.C. | 54 E - - 94 Ashwagandha (Herbal & Botanical Teas) | 54 E - - 99 Herbals & Botanical Teas, N.E.C. each item verified
Product
Turmeric Ashwagandha Latte Mix | Turmeric Ashwagandha Latte Mix | Turmeric Ashwagandha Latte Mix | Turmeric Ashwagandha Latte Mix | Turmeric Ashwagandha Latte Mix | Turmeric Ashwagandha Latte Mix | Turmeric Ashwagandha Latte Mix | Turmeric Ashwagandha Latte Mix | Turmeric Ashwagandha Latte Mix each item verified
FDA notes
The article is subject to refusal of admission pursuant to Section 801(a)(3) in that the product appears to be misbranded within the meaning of: Section 403(a)(1) of the Act. Labeling is false or misleading. The labeling identifies the product as a “dietary supplement” while also describing it as a “latte mix”, and providing preparation instructions of “For vegan latte, add nut milk,” and “For iced latte, chill & add ice cubes.” Under section 201(ff)(2)(B) of the Act [21 U.S.C. 321(ff)(2)(B)] the term “dietary supplement” means a product that among other requirements; “is not represented for use as a conventional food or as a sole item of a meal or the diet.” Product cannot be both a dietary supplement and a conventional food or sole item of a meal. Section 403(i)(2) of the Act. Product label fails to declare all the common or usual names of each ingredient used (21 CFR 101.36 and 21 CFR 101.4). “Stevia Powder” under “Other Ingredients” is not a common or usual name of ingredients made from Stevia rebaudiana that are approved for food use. If using highly purified steviol glycosides obtained from stevia leaves, the “stevia leaf extract” refers to botanical and is not the common or usual name of these highly purified ingredients. Common or usual name for highly purified steviol glycosides depends on ingredient composition. Only highly purified steviol glycosides from stevia leaves are permitted as sweeteners in foods, see Import Alert 45-06. If the stevia leaf extract is a sweetener and is purified to contain 95 percent or more of a single steviol glycoside, the specific name of that single steviol glycoside is the common or usual name. "rebaudioside A: should be used for ingredients with 95% or more rebaudioside A; "stevioside" should be used for ingredients with 95% or more stevioside. If sweetener is purified to contain 95 percent or more of a mixture of two or more glycosides; the name "steviol glycosides" would be the common or usual name. | 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. Labeling is false or misleading. The labeling identifies the product as a “dietary supplement” while also describing it as a “latte mix”, and providing preparation instructions of “For vegan latte, add nut milk,” and “For iced latte, chill & add ice cubes.” Under section 201(ff)(2)(B) of the Act [21 U.S.C. 321(ff)(2)(B)] the term “dietary supplement” means a product that among other requirements; “is not represented for use as a conventional food or as a sole item of a meal or the diet.” Product cannot be both a dietary supplement and a conventional food or sole item of a meal. Section 403(i)(2) of the Act. Product label fails to declare all the common or usual names of each ingredient used (21 CFR 101.36 and 21 CFR 101.4). “Stevia Powder” under “Other Ingredients” is not a common or usual name of ingredients made from Stevia rebaudiana that are approved for food use. If using highly purified steviol glycosides obtained from stevia leaves, the “stevia leaf extract” refers to botanical and is not the common or usual name of these highly purified ingredients. Common or usual name for highly purified steviol glycosides depends on ingredient composition. Only highly purified steviol glycosides from stevia leaves are permitted as sweeteners in foods, see Import Alert 45-06. If the stevia leaf extract is a sweetener and is purified to contain 95 percent or more of a single steviol glycoside, the specific name of that single steviol glycoside is the common or usual name. "rebaudioside A: should be used for ingredients with 95% or more rebaudioside A; "stevioside" should be used for ingredients with 95% or more stevioside. If sweetener is purified to contain 95 percent or more of a mixture of two or more glycosides; the name "steviol glycosides" would be the common or usual name. | 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. Labeling is false or misleading. The labeling identifies the product as a “dietary supplement” while also describing it as a “latte mix”, and providing preparation instructions of “For vegan latte, add nut milk,” and “For iced latte, chill & add ice cubes.” Under section 201(ff)(2)(B) of the Act [21 U.S.C. 321(ff)(2)(B)] the term “dietary supplement” means a product that among other requirements; “is not represented for use as a conventional food or as a sole item of a meal or the diet.” Product cannot be both a dietary supplement and a conventional food or sole item of a meal. Section 403(i)(2) of the Act. Product label fails to declare all the common or usual names of each ingredient used (21 CFR 101.36 and 21 CFR 101.4). “Stevia Powder” under “Other Ingredients” is not a common or usual name of ingredients made from Stevia rebaudiana that are approved for food use. If using highly purified steviol glycosides obtained from stevia leaves, the “stevia leaf extract” refers to botanical and is not the common or usual name of these highly purified ingredients. Common or usual name for highly purified steviol glycosides depends on ingredient composition. Only highly purified steviol glycosides from stevia leaves are permitted as sweeteners in foods, see Import Alert 45-06. If the stevia leaf extract is a sweetener and is purified to contain 95 percent or more of a single steviol glycoside, the specific name of that single steviol glycoside is the common or usual name. "rebaudioside A: should be used for ingredients with 95% or more rebaudioside A; "stevioside" should be used for ingredients with 95% or more stevioside. If sweetener is purified to contain 95 percent or more of a mixture of two or more glycosides; the name "steviol glycosides" would be the common or usual name. | 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. Labeling is false or misleading. The labeling identifies the product as a “dietary supplement” while also describing it as a “latte mix”, and providing preparation instructions of “For vegan latte, add nut milk,” and “For iced latte, chill & add ice cubes.” Under section 201(ff)(2)(B) of the Act [21 U.S.C. 321(ff)(2)(B)] the term “dietary supplement” means a product that among other requirements; “is not represented for use as a conventional food or as a sole item of a meal or the diet.” Product cannot be both a dietary supplement and a conventional food or sole item of a meal. Section 403(i)(2) of the Act. Product label fails to declare all the common or usual names of each ingredient used (21 CFR 101.36 and 21 CFR 101.4). “Stevia Powder” under “Other Ingredients” is not a common or usual name of ingredients made from Stevia rebaudiana that are approved for food use. If using highly purified steviol glycosides obtained from stevia leaves, the “stevia leaf extract” refers to botanical and is not the common or usual name of these highly purified ingredients. Common or usual name for highly purified steviol glycosides depends on ingredient composition. Only highly purified steviol glycosides from stevia leaves are permitted as sweeteners in foods, see Import Alert 45-06. If the stevia leaf extract is a sweetener and is purified to contain 95 percent or more of a single steviol glycoside, the specific name of that single steviol glycoside is the common or usual name. "rebaudioside A: should be used for ingredients with 95% or more rebaudioside A; "stevioside" should be used for ingredients with 95% or more stevioside. If sweetener is purified to contain 95 percent or more of a mixture of two or more glycosides; the name "steviol glycosides" would be the common or usual name. | 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. Labeling is false or misleading. The labeling identifies the product as a “dietary supplement” while also describing it as a “latte mix”, and providing preparation instructions of “For vegan latte, add nut milk,” and “For iced latte, chill & add ice cubes.” Under section 201(ff)(2)(B) of the Act [21 U.S.C. 321(ff)(2)(B)] the term “dietary supplement” means a product that among other requirements; “is not represented for use as a conventional food or as a sole item of a meal or the diet.” Product cannot be both a dietary supplement and a conventional food or sole item of a meal. Section 403(i)(2) of the Act. Product label fails to declare all the common or usual names of each ingredient used (21 CFR 101.36 and 21 CFR 101.4). “Stevia Powder” under “Other Ingredients” is not a common or usual name of ingredients made from Stevia rebaudiana that are approved for food use. If using highly purified steviol glycosides obtained from stevia leaves, the “stevia leaf extract” refers to botanical and is not the common or usual name of these highly purified ingredients. Common or usual name for highly purified steviol glycosides depends on ingredient composition. Only highly purified steviol glycosides from stevia leaves are permitted as sweeteners in foods, see Import Alert 45-06. If the stevia leaf extract is a sweetener and is purified to contain 95 percent or more of a single steviol glycoside, the specific name of that single steviol glycoside is the common or usual name. "rebaudioside A: should be used for ingredients with 95% or more rebaudioside A; "stevioside" should be used for ingredients with 95% or more stevioside. If sweetener is purified to contain 95 percent or more of a mixture of two or more glycosides; the name "steviol glycosides" would be the common or usual name. | 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. Labeling is false or misleading. The labeling identifies the product as a “dietary supplement” while also describing it as a “latte mix”, and providing preparation instructions of “For vegan latte, add nut milk,” and “For iced latte, chill & add ice cubes.” Under section 201(ff)(2)(B) of the Act [21 U.S.C. 321(ff)(2)(B)] the term “dietary supplement” means a product that among other requirements; “is not represented for use as a conventional food or as a sole item of a meal or the diet.” Product cannot be both a dietary supplement and a conventional food or sole item of a meal. Section 403(i)(2) of the Act. Product label fails to declare all the common or usual names of each ingredient used (21 CFR 101.36 and 21 CFR 101.4). “Stevia Powder” under “Other Ingredients” is not a common or usual name of ingredients made from Stevia rebaudiana that are approved for food use. If using highly purified steviol glycosides obtained from stevia leaves, the “stevia leaf extract” refers to botanical and is not the common or usual name of these highly purified ingredients. Common or usual name for highly purified steviol glycosides depends on ingredient composition. Only highly purified steviol glycosides from stevia leaves are permitted as sweeteners in foods, see Import Alert 45-06. If the stevia leaf extract is a sweetener and is purified to contain 95 percent or more of a single steviol glycoside, the specific name of that single steviol glycoside is the common or usual name. "rebaudioside A: should be used for ingredients with 95% or more rebaudioside A; "stevioside" should be used for ingredients with 95% or more stevioside. If sweetener is purified to contain 95 percent or more of a mixture of two or more glycosides; the name "steviol glycosides" would be the common or usual name. | 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. Labeling is false or misleading. The labeling identifies the product as a “dietary supplement” while also describing it as a “latte mix”, and providing preparation instructions of “For vegan latte, add nut milk,” and “For iced latte, chill & add ice cubes.” Under section 201(ff)(2)(B) of the Act [21 U.S.C. 321(ff)(2)(B)] the term “dietary supplement” means a product that among other requirements; “is not represented for use as a conventional food or as a sole item of a meal or the diet.” Product cannot be both a dietary supplement and a conventional food or sole item of a meal. Section 403(i)(2) of the Act. Product label fails to declare all the common or usual names of each ingredient used (21 CFR 101.36 and 21 CFR 101.4). “Stevia Powder” under “Other Ingredients” is not a common or usual name of ingredients made from Stevia rebaudiana that are approved for food use. If using highly purified steviol glycosides obtained from stevia leaves, the “stevia leaf extract” refers to botanical and is not the common or usual name of these highly purified ingredients. Common or usual name for highly purified steviol glycosides depends on ingredient composition. Only highly purified steviol glycosides from stevia leaves are permitted as sweeteners in foods, see Import Alert 45-06. If the stevia leaf extract is a sweetener and is purified to contain 95 percent or more of a single steviol glycoside, the specific name of that single steviol glycoside is the common or usual name. "rebaudioside A: should be used for ingredients with 95% or more rebaudioside A; "stevioside" should be used for ingredients with 95% or more stevioside. If sweetener is purified to contain 95 percent or more of a mixture of two or more glycosides; the name "steviol glycosides" would be the common or usual name. | 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. Labeling is false or misleading. The labeling identifies the product as a “dietary supplement” while also describing it as a “latte mix”, and providing preparation instructions of “For vegan latte, add nut milk,” and “For iced latte, chill & add ice cubes.” Under section 201(ff)(2)(B) of the Act [21 U.S.C. 321(ff)(2)(B)] the term “dietary supplement” means a product that among other requirements; “is not represented for use as a conventional food or as a sole item of a meal or the diet.” Product cannot be both a dietary supplement and a conventional food or sole item of a meal. Section 403(i)(2) of the Act. Product label fails to declare all the common or usual names of each ingredient used (21 CFR 101.36 and 21 CFR 101.4). “Stevia Powder” under “Other Ingredients” is not a common or usual name of ingredients made from Stevia rebaudiana that are approved for food use. If using highly purified steviol glycosides obtained from stevia leaves, the “stevia leaf extract” refers to botanical and is not the common or usual name of these highly purified ingredients. Common or usual name for highly purified steviol glycosides depends on ingredient composition. Only highly purified steviol glycosides from stevia leaves are permitted as sweeteners in foods, see Import Alert 45-06. If the stevia leaf extract is a sweetener and is purified to contain 95 percent or more of a single steviol glycoside, the specific name of that single steviol glycoside is the common or usual name. "rebaudioside A: should be used for ingredients with 95% or more rebaudioside A; "stevioside" should be used for ingredients with 95% or more stevioside. If sweetener is purified to contain 95 percent or more of a mixture of two or more glycosides; the name "steviol glycosides" would be the common or usual name. | 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. Labeling is false or misleading. The labeling identifies the product as a “dietary supplement” while also describing it as a “latte mix”, and providing preparation instructions of “For vegan latte, add nut milk,” and “For iced latte, chill & add ice cubes.” Under section 201(ff)(2)(B) of the Act [21 U.S.C. 321(ff)(2)(B)] the term “dietary supplement” means a product that among other requirements; “is not represented for use as a conventional food or as a sole item of a meal or the diet.” Product cannot be both a dietary supplement and a conventional food or sole item of a meal. Section 403(i)(2) of the Act. Product label fails to declare all the common or usual names of each ingredient used (21 CFR 101.36 and 21 CFR 101.4). “Stevia Powder” under “Other Ingredients” is not a common or usual name of ingredients made from Stevia rebaudiana that are approved for food use. If using highly purified steviol glycosides obtained from stevia leaves, the “stevia leaf extract” refers to botanical and is not the common or usual name of these highly purified ingredients. Common or usual name for highly purified steviol glycosides depends on ingredient composition. Only highly purified steviol glycosides from stevia leaves are permitted as sweeteners in foods, see Import Alert 45-06. If the stevia leaf extract is a sweetener and is purified to contain 95 percent or more of a single steviol glycoside, the specific name of that single steviol glycoside is the common or usual name. "rebaudioside A: should be used for ingredients with 95% or more rebaudioside A; "stevioside" should be used for ingredients with 95% or more stevioside. If sweetener is purified to contain 95 percent or more of a mixture of two or more glycosides; the name "steviol glycosides" would be the common or usual name. each item verified
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DatasetFDA import alert red lists: firms subject to detention without physical examination

What the source says

VAHDAM TEAS PVT LT Date Published : 06/04/2025 C 12/3, Sector 85 , National Capital Region , Noida, Uttar Pradesh INDIA 28 C - - 49 Turmeric, Natural Extract or Flavor (Spice) Date Published: 06/04/2025 Desc: Turmeric Ashwagandha Latte Mix 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. Labeling is false or misleading. The labeling identifies the product as a “dietary supplement” while also describing it as a “latte mix”, and providing preparation instructions of “For vegan latte, add nut milk,” and “For iced latte, chill & add ice cubes.” Under section 201(ff)(2)(B) of the Act [21 U.S.C. 321(ff)(2)(B)] the term “dietary supplement” means a product that among other requirements; “is not represented for use as a conventional food or as a sole item of a meal or the diet.” Product cannot be both a dietary supplement and a conventional food or sole item of a meal. Section 403(i)(2) of the Act. Product label fails to declare all the common or usual names of each ingredient used (21 CFR 101.36 and 21 CFR 101.4). “Stevia Powder” under “Other Ingredients” is not a common or usual name of ingredients made from Stevia rebaudiana that are approved for food use. If using highly purified steviol glycosides obtained from stevia leaves, the “stevia leaf extract” refers to botanical and is not the common or usual name of these highly purified ingredients. Common or usual name for highly purified steviol glycosides depends on ingredient composition. Only highly purified steviol glycosides from stevia leaves are permitted as sweeteners in foods, see Import Alert 45-06. If the stevia leaf extract is a sweetener and is purified to contain 95 percent or more of a single steviol glycoside, the specific name of that single steviol glycoside is the common or usual name. "rebaudioside A: should be used for ingredients with 95% or more rebaudioside A; "stevioside" should be used for ingredients with 95% or more stevioside. If sweetener is purified to contain 95 percent or more of a mixture of two or more glycosides; the name "steviol glycosides" would be the common or usual name. 31 G - - 02 Flavored Coffee Drink Date Published: 06/04/2025 Desc: Turmeric Ashwagandha Latte Mix 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. Labeling is false or misleading. The labeling identifies the product as a “dietary supplement” while also describing it as a “latte mix”, and providing preparation instructions of “For vegan latte, add nut milk,” and “For iced latte, chill & add ice cubes.” Under section 201(ff)(2)(B) of the Act [21 U.S.C. 321(ff)(2)(B)] the term “dietary supplement” means a product that among other requirements; “is not represented for use as a conventional food or as a sole item of a meal or the diet.” Product cannot be both a dietary supplement and a conventional food or sole item of a meal. Section 403(i)(2) of the Act. Product label fails to declare all the common or usual names of each ingredient used (21 CFR 101.36 and 21 CFR 101.4). “Stevia Powder” under “Other Ingredients” is not a common or usual name of ingredients made from Stevia rebaudiana that are approved for food use. If using highly purified steviol glycosides obtained from stevia leaves, the “stevia leaf extract” refers to botanical and is not the common or usual name of these highly purified ingredients. Common or usual name for highly purified steviol glycosides depends on ingredient composition. Only highly purified steviol glycosides from stevia leaves are permitted as sweeteners in foods, see Import Alert 45-06. If the stevia leaf extract is a sweetener and is purified to contain 95 percent or more of a single steviol glycoside, the specific name of that single steviol glycoside is the common or usual name. "rebaudioside A: should be used for ingredients with 95% or more rebaudioside A; "stevioside" should be used for ingredients with 95% or more stevioside. If sweetener is purified to contain 95 percent or more of a mixture of two or more glycosides; the name "steviol glycosides" would be the common or usual name. 31 K - - 01 Tea, Black Date Published: 06/04/2025 Desc: Turmeric Ashwagandha Latte Mix 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. Labeling is false or misleading. The labeling identifies the product as a “dietary supplement” while also describing it as a “latte mix”, and providing preparation instructions of “For vegan latte, add nut milk,” and “For iced latte, chill & add ice cubes.” Under section 201(ff)(2)(B) of the Act [21 U.S.C. 321(ff)(2)(B)] the term “dietary supplement” means a product that among other requirements; “is not represented for use as a conventional food or as a sole item of a meal or the diet.” Product cannot be both a dietary supplement and a conventional food or sole item of a meal. Section 403(i)(2) of the Act. Product label fails to declare all the common or usual names of each ingredient used (21 CFR 101.36 and 21 CFR 101.4). “Stevia Powder” under “Other Ingredients” is not a common or usual name of ingredients made from Stevia rebaudiana that are approved for food use. If using highly purified steviol glycosides obtained from stevia leaves, the “stevia leaf extract” refers to botanical and is not the common or usual name of these highly purified ingredients. Common or usual name for highly purified steviol glycosides depends on ingredient composition. Only highly purified steviol glycosides from stevia leaves are permitted as sweeteners in foods, see Import Alert 45-06. If the stevia leaf extract is a sweetener and is purified to contain 95 percent or more of a single steviol glycoside, the specific name of that single steviol glycoside is the common or usual name. "rebaudioside A: should be used for ingredients with 95% or more rebaudioside A; "stevioside" should be used for ingredients with 95% or more stevioside. If sweetener is purified to contain 95 percent or more of a mixture of two or more glycosides; the name "steviol glycosides" would be the common or usual name. 31 K - - 99 Tea, N.E.C. Date Published: 06/04/2025 Desc: Turmeric Ashwagandha Latte Mix 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. Labeling is false or misleading. The labeling identifies the product as a “dietary supplement” while also describing it as a “latte mix”, and providing preparation instructions of “For vegan latte, add nut milk,” and “For iced latte, chill & add ice cubes.” Under section 201(ff)(2)(B) of the Act [21 U.S.C. 321(ff)(2)(B)] the term “dietary supplement” means a product that among other requirements; “is not represented for use as a conventional food or as a sole item of a meal or the diet.” Product cannot be both a dietary supplement and a conventional food or sole item of a meal. Section 403(i)(2) of the Act. Product label fails to declare all the common or usual names of each ingredient used (21 CFR 101.36 and 21 CFR 101.4). “Stevia Powder” under “Other Ingredients” is not a common or usual name of ingredients made from Stevia rebaudiana that are approved for food use. If using highly purified steviol glycosides obtained from stevia leaves, the “stevia leaf extract” refers to botanical and is not the common or usual name of these highly purified ingredients. Common or usual name for highly purified steviol glycosides depends on ingredient composition. Only highly purified steviol glycosides from stevia leaves are permitted as sweeteners in foods, see Import Alert 45-06. If the stevia leaf extract is a sweetener and is purified to contain 95 percent or more of a single steviol glycoside, the specific name of that single steviol glycoside is the common or usual name. "rebaudioside A: should be used for ingredients with 95% or more rebaudioside A; "stevioside" should be used for ingredients with 95% or more stevioside. If sweetener is purified to contain 95 percent or more of a mixture of two or more glycosides; the name "steviol glycosides" would be the common or usual name. 31 L - - 40 Tea, Instant Mix (with Lemon, Sugar, Etc.), Decaffeinated Date Published: 06/04/2025 Desc: Turmeric Ashwagandha Latte Mix 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. Labeling is false or misleading. The labeling identifies the product as a “dietary supplement” while also describing it as a “latte mix”, and providing preparation instructions of “For vegan latte, add nut milk,” and “For iced latte, chill & add ice cubes.” Under section 201(ff)(2)(B) of the Act [21 U.S.C. 321(ff)(2)(B)] the term “dietary supplement” means a product that among other requirements; “is not represented for use as a conventional food or as a sole item of a meal or the diet.” Product cannot be both a dietary supplement and a conventional food or sole item of a meal. Section 403(i)(2) of the Act. Product label fails to declare all the common or usual names of each ingredient used (21 CFR 101.36 and 21 CFR 101.4). “Stevia Powder” under “Other Ingredients” is not a common or usual name of ingredients made from Stevia rebaudiana that are approved for food use. If using highly purified steviol glycosides obtained from stevia leaves, the “stevia leaf extract” refers to botanical and is not the common or usual name of these highly purified ingredients. Common or usual name for highly purified steviol glycosides depends on ingredient composition. Only highly purified steviol glycosides from stevia leaves are permitted as sweeteners in foods, see Import Alert 45-06. If the stevia leaf extract is a sweetener and is purified to contain 95 percent or more of a single steviol glycoside, the specific name of that single steviol glycoside is the common or usual name. "rebaudioside A: should be used for ingredients with 95% or more rebaudioside A; "stevioside" should be used for ingredients with 95% or more stevioside. If sweetener is purified to contain 95 percent or more of a mixture of two or more glycosides; the name "steviol glycosides" would be the common or usual name. 31 M - - 02 Tea With Extracts or Concentrates Date Published: 06/04/2025 Desc: Turmeric Ashwagandha Latte Mix 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. Labeling is false or misleading. The labeling identifies the product as a “dietary supplement” while also describing it as a “latte mix”, and providing preparation instructions of “For vegan latte, add nut milk,” and “For iced latte, chill & add ice cubes.” Under section 201(ff)(2)(B) of the Act [21 U.S.C. 321(ff)(2)(B)] the term “dietary supplement” means a product that among other requirements; “is not represented for use as a conventional food or as a sole item of a meal or the diet.” Product cannot be both a dietary supplement and a conventional food or sole item of a meal. Section 403(i)(2) of the Act. Product label fails to declare all the common or usual names of each ingredient used (21 CFR 101.36 and 21 CFR 101.4). “Stevia Powder” under “Other Ingredients” is not a common or usual name of ingredients made from Stevia rebaudiana that are approved for food use. If using highly purified steviol glycosides obtained from stevia leaves, the “stevia leaf extract” refers to botanical and is not the common or usual name of these highly purified ingredients. Common or usual name for highly purified steviol glycosides depends on ingredient composition. Only highly purified steviol glycosides from stevia leaves are permitted as sweeteners in foods, see Import Alert 45-06. If the stevia leaf extract is a sweetener and is purified to contain 95 percent or more of a single steviol glycoside, the specific name of that single steviol glycoside is the common or usual name. "rebaudioside A: should be used for ingredients with 95% or more rebaudioside A; "stevioside" should be used for ingredients with 95% or more stevioside. If sweetener is purified to contain 95 percent or more of a mixture of two or more glycosides; the name "steviol glycosides" would be the common or usual name. 31 P - - 99 Tea Substitutes, N.E.C. Date Published: 06/04/2025 Desc: Turmeric Ashwagandha Latte Mix 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. Labeling is false or misleading. The labeling identifies the product as a “dietary supplement” while also describing it as a “latte mix”, and providing preparation instructions of “For vegan latte, add nut milk,” and “For iced latte, chill & add ice cubes.” Under section 201(ff)(2)(B) of the Act [21 U.S.C. 321(ff)(2)(B)] the term “dietary supplement” means a product that among other requirements; “is not represented for use as a conventional food or as a sole item of a meal or the diet.” Product cannot be both a dietary supplement and a conventional food or sole item of a meal. Section 403(i)(2) of the Act. Product label fails to declare all the common or usual names of each ingredient used (21 CFR 101.36 and 21 CFR 101.4). “Stevia Powder” under “Other Ingredients” is not a common or usual name of ingredients made from Stevia rebaudiana that are approved for food use. If using highly purified steviol glycosides obtained from stevia leaves, the “stevia leaf extract” refers to botanical and is not the common or usual name of these highly purified ingredients. Common or usual name for highly purified steviol glycosides depends on ingredient composition. Only highly purified steviol glycosides from stevia leaves are permitted as sweeteners in foods, see Import Alert 45-06. If the stevia leaf extract is a sweetener and is purified to contain 95 percent or more of a single steviol glycoside, the specific name of that single steviol glycoside is the common or usual name. "rebaudioside A: should be used for ingredients with 95% or more rebaudioside A; "stevioside" should be used for ingredients with 95% or more stevioside. If sweetener is purified to contain 95 percent or more of a mixture of two or more glycosides; the name "steviol glycosides" would be the common or usual name. 54 E - - 94 Ashwagandha (Herbal & Botanical Teas) Date Published: 06/04/2025 Desc: Turmeric Ashwagandha Latte Mix 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. Labeling is false or misleading. The labeling identifies the product as a “dietary supplement” while also describing it as a “latte mix”, and providing preparation instructions of “For vegan latte, add nut milk,” and “For iced latte, chill & add ice cubes.” Under section 201(ff)(2)(B) of the Act [21 U.S.C. 321(ff)(2)(B)] the term “dietary supplement” means a product that among other requirements; “is not represented for use as a conventional food or as a sole item of a meal or the diet.” Product cannot be both a dietary supplement and a conventional food or sole item of a meal. Section 403(i)(2) of the Act. Product label fails to declare all the common or usual names of each ingredient used (21 CFR 101.36 and 21 CFR 101.4). “Stevia Powder” under “Other Ingredients” is not a common or usual name of ingredients made from Stevia rebaudiana that are approved for food use. If using highly purified steviol glycosides obtained from stevia leaves, the “stevia leaf extract” refers to botanical and is not the common or usual name of these highly purified ingredients. Common or usual name for highly purified steviol glycosides depends on ingredient composition. Only highly purified steviol glycosides from stevia leaves are permitted as sweeteners in foods, see Import Alert 45-06. If the stevia leaf extract is a sweetener and is purified to contain 95 percent or more of a single steviol glycoside, the specific name of that single steviol glycoside is the common or usual name. "rebaudioside A: should be used for ingredients with 95% or more rebaudioside A; "stevioside" should be used for ingredients with 95% or more stevioside. If sweetener is purified to contain 95 percent or more of a mixture of two or more glycosides; the name "steviol glycosides" would be the common or usual name. 54 E - - 99 Herbals & Botanical Teas, N.E.C. Date Published: 06/04/2025 Desc: Turmeric Ashwagandha Latte Mix 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. Labeling is false or misleading. The labeling identifies the product as a “dietary supplement” while also describing it as a “latte mix”, and providing preparation instructions of “For vegan latte, add nut milk,” and “For iced latte, chill & add ice cubes.” Under section 201(ff)(2)(B) of the Act [21 U.S.C. 321(ff)(2)(B)] the term “dietary supplement” means a product that among other requirements; “is not represented for use as a conventional food or as a sole item of a meal or the diet.” Product cannot be both a dietary supplement and a conventional food or sole item of a meal. Section 403(i)(2) of the Act. Product label fails to declare all the common or usual names of each ingredient used (21 CFR 101.36 and 21 CFR 101.4). “Stevia Powder” under “Other Ingredients” is not a common or usual name of ingredients made from Stevia rebaudiana that are approved for food use. If using highly purified steviol glycosides obtained from stevia leaves, the “stevia leaf extract” refers to botanical and is not the common or usual name of these highly purified ingredients. Common or usual name for highly purified steviol glycosides depends on ingredient composition. Only highly purified steviol glycosides from stevia leaves are permitted as sweeteners in foods, see Import Alert 45-06. If the stevia leaf extract is a sweetener and is purified to contain 95 percent or more of a single steviol glycoside, the specific name of that single steviol glycoside is the common or usual name. "rebaudioside A: should be used for ingredients with 95% or more rebaudioside A; "stevioside" should be used for ingredients with 95% or more stevioside. If sweetener is purified to contain 95 percent or more of a mixture of two or more glycosides; the name "steviol glycosides" would be the common or usual name.

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