# Hekma Center Ltd. · 99-39 · ISRAEL — FDA import alert red lists: firms subject to detention without physical examination For Hekma Center Ltd. · 99-39 · ISRAEL, import alert is 99-39; import alert name is Detention Without Physical Examination of Imported Food Products That Appear to Be Misbranded; country is ISRAEL; product is M. Shiita (Shiitake Mushroom Extract) Capsules | MSM (Methyl Sulfonyl Methane) Capsules | Zinc (Zinc Picolinate) Capsules | Dand (Dandelion) | E-Ech (Echinacea Extract) Capsules | TKR (Curcumin) Capsules | M. Reishi (Reishi Ganoderma Mushroom Extract) Capsules | Cam1 (Milk Thistle) Capsules | S.G.1 (Siberian Ginseng) Capsules | Mera (Sage) Capsules | Spiru (Spirulina) Capsules | Magic.1 (Moringa Oleifera) Capsules | AK (Propolis) Capsules | Ureg (Uregano) | NOR (Olive Leaves) Capsules | Astro (Astragalus Membranaceus) Capsules | M. Trame (Turkey Tail Mushroom) Capsules | M. Shiita (Shiitake Mushroom Extract) Capsules | Mera (Sage) Capsules | Astro (Astragalus Membranaceus) Capsules | TKR (Curcumin) Capsules | Spiru (Spirulina) Capsules | MSM (Methyl Sulfonyl Methane) Capsules | NOR (Olive Leaves) Capsules | Ureg (Uregano) | E-Ech (Echinacea Extract) Capsules | Dand (Dandelion) | M. Reishi (Reishi Ganoderma Mushroom Extract) Capsules | Zinc (Zinc Picolinate) Capsules | S.G.1 (Siberian Ginseng) Capsules | M. Trame (Turkey Tail Mushroom) Capsules | AK (Propolis) Capsules | Magic.1 (Moringa Oleifera) Capsules | Cam1 (Milk Thistle) Capsules; product code is 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc; date published is 03/13/2023; address is 1 Aara, El-masqa , Ar'Ara, Ha Zafon ISRAEL, verified against its source on 2026-09-16. - **Firm:** Hekma Center Ltd. _(verified: appears in the quote below)_ - **Import alert:** 99-39 - **Import alert name:** Detention Without Physical Examination of Imported Food Products That Appear to Be Misbranded - **Country:** ISRAEL _(verified: appears in the quote below)_ - **Address:** 1 Aara, El-masqa , Ar'Ara, Ha Zafon ISRAEL _(verified: appears in the quote below)_ - **Date published:** 03/13/2023 _(verified: appears in the quote below)_ - **Product code:** 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. | 66 V - - 99 Miscellaneous Patent Medicines, Etc. _(verified: each item appears in the quote below)_ - **Product:** M. Shiita (Shiitake Mushroom Extract) Capsules | MSM (Methyl Sulfonyl Methane) Capsules | Zinc (Zinc Picolinate) Capsules | Dand (Dandelion) | E-Ech (Echinacea Extract) Capsules | TKR (Curcumin) Capsules | M. Reishi (Reishi Ganoderma Mushroom Extract) Capsules | Cam1 (Milk Thistle) Capsules | S.G.1 (Siberian Ginseng) Capsules | Mera (Sage) Capsules | Spiru (Spirulina) Capsules | Magic.1 (Moringa Oleifera) Capsules | AK (Propolis) Capsules | Ureg (Uregano) | NOR (Olive Leaves) Capsules | Astro (Astragalus Membranaceus) Capsules | M. Trame (Turkey Tail Mushroom) Capsules | M. Shiita (Shiitake Mushroom Extract) Capsules | Mera (Sage) Capsules | Astro (Astragalus Membranaceus) Capsules | TKR (Curcumin) Capsules | Spiru (Spirulina) Capsules | MSM (Methyl Sulfonyl Methane) Capsules | NOR (Olive Leaves) Capsules | Ureg (Uregano) | E-Ech (Echinacea Extract) Capsules | Dand (Dandelion) | M. Reishi (Reishi Ganoderma Mushroom Extract) Capsules | Zinc (Zinc Picolinate) Capsules | S.G.1 (Siberian Ginseng) Capsules | M. Trame (Turkey Tail Mushroom) Capsules | AK (Propolis) Capsules | Magic.1 (Moringa Oleifera) Capsules | Cam1 (Milk Thistle) Capsules _(verified: each item appears in the quote below)_ - **FDA notes:** The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). | The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). _(verified: each item appears in the quote below)_ ## What the source says > Hekma Center Ltd. Date Published : 03/13/2023 1 Aara, El-masqa , Ar'Ara, Ha Zafon ISRAEL 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: M. Shiita (Shiitake Mushroom Extract) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: MSM (Methyl Sulfonyl Methane) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: Zinc (Zinc Picolinate) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: Dand (Dandelion) Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: E-Ech (Echinacea Extract) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: TKR (Curcumin) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: M. Reishi (Reishi Ganoderma Mushroom Extract) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: Cam1 (Milk Thistle) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: S.G.1 (Siberian Ginseng) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: Mera (Sage) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: Spiru (Spirulina) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: Magic.1 (Moringa Oleifera) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: AK (Propolis) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: Ureg (Uregano) Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: NOR (Olive Leaves) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: Astro (Astragalus Membranaceus) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: M. Trame (Turkey Tail Mushroom) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: M. Shiita (Shiitake Mushroom Extract) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: Mera (Sage) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: Astro (Astragalus Membranaceus) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: TKR (Curcumin) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: Spiru (Spirulina) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: MSM (Methyl Sulfonyl Methane) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: NOR (Olive Leaves) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: Ureg (Uregano) Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: E-Ech (Echinacea Extract) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: Dand (Dandelion) Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: M. Reishi (Reishi Ganoderma Mushroom Extract) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: Zinc (Zinc Picolinate) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: S.G.1 (Siberian Ginseng) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: M. Trame (Turkey Tail Mushroom) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: AK (Propolis) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: Magic.1 (Moringa Oleifera) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: Cam1 (Milk Thistle) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(s)(2)(C) of the Act in that the labels fail to identify (in English) the part of the plant (e.g., root, leaves) from which each botanical dietary ingredient in the product is derived. The listing of the common or usual name of a botanical in the Supplement Facts label must be followed with the declaration of the plant part; if the entire or whole plant is used, that information must be declared. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). ## The same source also states > Hekma Center Ltd. Date Published : 03/13/2023 1 Aara, El-masqa , Ar'Ara, Ha Zafon ISRAEL 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: M. Trame (Turkey Tail Mushroom) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: Ureg (Uregano) Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: Magic.1 (Moringa Oleifera) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: Cam1 (Milk Thistle) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: TKR (Curcumin) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: MSM (Methyl Sulfonyl Methane) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: E-Ech (Echinacea Extract) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: Zinc (Zinc Picolinate) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: Astro (Astragalus Membranaceus) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: AK (Propolis) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: M. Reishi (Reishi Ganoderma Mushroom Extract) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: Spiru (Spirulina) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: Mera (Sage) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: NOR (Olive Leaves) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: M. Shiita (Shiitake Mushroom Extract) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: S.G.1 (Siberian Ginseng) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 54 - - - -- Vitamins/Minerals (Human/Animal); Proteins/Unconv Dietary Supp (Human) Date Published: 03/13/2023 Desc: Dand (Dandelion) Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: Spiru (Spirulina) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: Zinc (Zinc Picolinate) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: M. Trame (Turkey Tail Mushroom) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: Dand (Dandelion) Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: M. Reishi (Reishi Ganoderma Mushroom Extract) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: TKR (Curcumin) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: Mera (Sage) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: AK (Propolis) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: E-Ech (Echinacea Extract) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: S.G.1 (Siberian Ginseng) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: Cam1 (Milk Thistle) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: M. Shiita (Shiitake Mushroom Extract) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: Astro (Astragalus Membranaceus) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: MSM (Methyl Sulfonyl Methane) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: Ureg (Uregano) Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: NOR (Olive Leaves) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). 66 V - - 99 Miscellaneous Patent Medicines, Etc. Date Published: 03/13/2023 Desc: Magic.1 (Moringa Oleifera) Capsules Notes: The article is subject to refusal of admission pursuant to section 801(a)(3) of the Federal Food, Drug, and Cosmetic Act (the Act) in that each component product appears to be misbranded within the meaning of: Section 403(i)(2) in that the component product labels fail to declare all the common or usual names of each ingredient. The ingredient list or other ingredient list of each component product label fails to be placed below the Supplement Facts label. Product label declares “HPMC” as an ingredient but does not list the common or usual name of that ingredient. The standardized common name (SCN) of each botanical dietary ingredient, is not listed in the Supplement Facts label. Section 403(q)(5)(F) in that the presentation of the nutrition information on the labeling of the product does not comply with 21 CFR 101.36. The label fails to declare the quantitative amount of calories per serving in the Supplement Facts label. The quantitative amount of the declared dietary ingredient fails to be expressed using metric measures in appropriate units (i.e., 1000 or more units must be declared in the next higher set of units, e.g., 1,100 mg, must be declared as 1.1 g). Label fails to declare “Supplement Facts” on the full width of the nutrition label (Supplement Facts label). Source: https://www.accessdata.fda.gov/cms_ia/importalert_1144.html ## Source - https://www.accessdata.fda.gov/cms_ia/importalert_1144.html Last verified: 2026-09-16. Review by: 2026-11-15. Part of [FDA import alert red lists: firms subject to detention without physical examination](https://referencesource.org/fda-import-alert-red-list/).