Mas Natural Salud y Bienestar, S. de R.L. de C.V. · 99-39 · MEXICO
For Mas Natural Salud y Bienestar, S. de R.L. de C.V. · 99-39 · MEXICO, import alert is 99-39; import alert name is Detention Without Physical Examination of Imported Food Products That Appear to Be Misbranded; country is MEXICO; product is Oxicell | Oxicell | Nectar Supreme | Colageno Hidrolizado Shake Alteada | Goji-Loe; product code is 54 Y - - 99 Vitamin, Mineral, Proteins and Unconventional Dietary Specialities For Humans and Animals, N.E.C. | 54 Y - - 99 Vitamin, Mineral, Proteins and Unconventional Dietary Specialities For Humans and Animals, N.E.C. | 54 Y - - 99 Vitamin, Mineral, Proteins and Unconventional Dietary Specialities For Humans and Animals, N.E.C. | 54 Y - - 99 Vitamin, Mineral, Proteins and Unconventional Dietary Specialities For Humans and Animals, N.E.C; date published is 06/17/2015; address is Calle Emilio Carranza No. 1055 , Col. RODRIGUEZ , Irapuato, Guanajuato MEXICO, verified against its source on 2026-09-16.
- Firm
- Mas Natural Salud y Bienestar, S. de R.L. de C.V. verified
- Import alert
- 99-39
- Import alert name
- Detention Without Physical Examination of Imported Food Products That Appear to Be Misbranded
- Country
- MEXICO verified
- Address
- Calle Emilio Carranza No. 1055 , Col. RODRIGUEZ , Irapuato, Guanajuato MEXICO verified
- Date published
- 06/17/2015 verified
- Product code
- 54 Y - - 99 Vitamin, Mineral, Proteins and Unconventional Dietary Specialities For Humans and Animals, N.E.C. | 54 Y - - 99 Vitamin, Mineral, Proteins and Unconventional Dietary Specialities For Humans and Animals, N.E.C. | 54 Y - - 99 Vitamin, Mineral, Proteins and Unconventional Dietary Specialities For Humans and Animals, N.E.C. | 54 Y - - 99 Vitamin, Mineral, Proteins and Unconventional Dietary Specialities For Humans and Animals, N.E.C. each item verified
- Product
- Oxicell | Oxicell | Nectar Supreme | Colageno Hidrolizado Shake Alteada | Goji-Loe each item verified
- FDA notes
- OxiCell product label is misbranded within the meaning of Section 403(y) of the Act [21 U.S.C. § 343(y)] in that the label fails to bear a domestic address or domestic phone number through which the responsible person (as described in section 761) may receive a report of a serious adverse event with such dietary supplement. OxiCell product is misbranded within the meaning of Section 403(k) of the Act [21 U.S.C. § 343(k)] in that the product bears or contains chemical preservatives, but fails to provide a separate description of the function of these ingredients as required. In accordance with 21 CFR 10 1.22(j), the label of a food to which a chemical preservative has been added shall bear a declaration of both the common or usual name of the ingredient and a separate description of its function, e.g., "preservative." The ingredient statement for your OxiCell product declares the presence of Sodium Benzoate and Sodium Propinate, but fails to provide a separate description of the function of these ingredients as required. Colageno Hidrolizado Shake, Goji-Loe, Nectar Supreme and OxiCell products are misbranded within the meaning of section 403(q)(5)(F) of the Act [21 U.S.C. § 343 (q)(5)(F)] in that the presentation of the nutrition information on the labeling of the products does not comply with 21 CFR 101.36. Vitamin, Mineral, Proteins and Unconventional Dietary Specialities For Humans and Animals, N.E.C. | Colageno Hidrolizado Shake, Goji-Loe, Nectar Supreme and OxiCell products are misbranded within the meaning of section 403(q)(5)(F) of the Act [21 U.S.C. § 343 (q)(5)(F)] in that the presentation of the nutrition information on the labeling of the products does not comply with 21 CFR 101.36. Published on 06/11/2015 | Nectar Supreme product is misbranded within the meaning of section 403(a) (l) of the Act [21 U.S.C. § 343(a)(l)] in that the labels are false or misleading because the amount of nutrient present is less than the amount declared on the label. Specifically, FDA analyzed the sample of your Nectar Supreme to determine whether the nutrition information on your Nutrition Facts panel accurately reflects the nutrient content of the product. The product label states that one serving (1 113 tablespoons) contains 400 IU of Vitamin D and 100 mg of Vitamin C. However, FDA analysis found the Vitamin D content was 86.8% (original analysis) and 80.3% (check analysis) of declared value. Analysis revealed the Vitamin C content was 32.5% (original analysis) and 34% mg (check analysis) of declared value. Colageno Hidrolizado Shake, Goji-Loe, Nectar Supreme and OxiCell products are misbranded within the meaning of section 403(q)(5)(F) of the Act [21 U.S.C. § 343(q)(5)(F)] in that the presentation of the nutrition information on the labeling of the products does not comply with 21 CFR 101.36. Published on 06/11/2015 | Colageno Hidrolizado Shake, Goji-Loe, Nectar Supreme and OxiCell products are misbranded within the meaning of section 403(q)(5)(F) of the Act [21 U.S.C. § 343(q)(5)(F)] in that the presentation of the nutrition information on the labeling of the products does not comply with 21 CFR 101.36 Published on 06/11/2015 | Colageno Hidrolizado Shake; Goji-Loe; Nectar Supreme and OxiCell products are misbranded within the meaning of section 403(q)(5)(F) of the Act [21 U.S.C. 343 (q)(5)(F)] in that the presentation of the nutrition information on the labeling of the products does not comply with 21 CFR 101.36 Published on 06/11/2015 each item verified
What the source says
Mas Natural Salud y Bienestar, S. de R.L. de C.V. Date Published : 06/17/2015 Calle Emilio Carranza No. 1055 , Col. RODRIGUEZ , Irapuato, Guanajuato MEXICO 54 Y - - 99 Vitamin, Mineral, Proteins and Unconventional Dietary Specialities For Humans and Animals, N.E.C. Date Published: 06/17/2015 Desc: Oxicell Notes: OxiCell product label is misbranded within the meaning of Section 403(y) of the Act [21 U.S.C. § 343(y)] in that the label fails to bear a domestic address or domestic phone number through which the responsible person (as described in section 761) may receive a report of a serious adverse event with such dietary supplement. OxiCell product is misbranded within the meaning of Section 403(k) of the Act [21 U.S.C. § 343(k)] in that the product bears or contains chemical preservatives, but fails to provide a separate description of the function of these ingredients as required. In accordance with 21 CFR 10 1.22(j), the label of a food to which a chemical preservative has been added shall bear a declaration of both the common or usual name of the ingredient and a separate description of its function, e.g., "preservative." The ingredient statement for your OxiCell product declares the presence of Sodium Benzoate and Sodium Propinate, but fails to provide a separate description of the function of these ingredients as required. Colageno Hidrolizado Shake, Goji-Loe, Nectar Supreme and OxiCell products are misbranded within the meaning of section 403(q)(5)(F) of the Act [21 U.S.C. § 343 (q)(5)(F)] in that the presentation of the nutrition information on the labeling of the products does not comply with 21 CFR 101.36. Vitamin, Mineral, Proteins and Unconventional Dietary Specialities For Humans and Animals, N.E.C. Desc:Oxicell Notes:Colageno Hidrolizado Shake, Goji-Loe, Nectar Supreme and OxiCell products are misbranded within the meaning of section 403(q)(5)(F) of the Act [21 U.S.C. § 343 (q)(5)(F)] in that the presentation of the nutrition information on the labeling of the products does not comply with 21 CFR 101.36. Published on 06/11/2015 54 Y - - 99 Vitamin, Mineral, Proteins and Unconventional Dietary Specialities For Humans and Animals, N.E.C. Date Published: 06/17/2015 Desc: Nectar Supreme Notes: Nectar Supreme product is misbranded within the meaning of section 403(a) (l) of the Act [21 U.S.C. § 343(a)(l)] in that the labels are false or misleading because the amount of nutrient present is less than the amount declared on the label. Specifically, FDA analyzed the sample of your Nectar Supreme to determine whether the nutrition information on your Nutrition Facts panel accurately reflects the nutrient content of the product. The product label states that one serving (1 113 tablespoons) contains 400 IU of Vitamin D and 100 mg of Vitamin C. However, FDA analysis found the Vitamin D content was 86.8% (original analysis) and 80.3% (check analysis) of declared value. Analysis revealed the Vitamin C content was 32.5% (original analysis) and 34% mg (check analysis) of declared value. Colageno Hidrolizado Shake, Goji-Loe, Nectar Supreme and OxiCell products are misbranded within the meaning of section 403(q)(5)(F) of the Act [21 U.S.C. § 343(q)(5)(F)] in that the presentation of the nutrition information on the labeling of the products does not comply with 21 CFR 101.36. Published on 06/11/2015 54 Y - - 99 Vitamin, Mineral, Proteins and Unconventional Dietary Specialities For Humans and Animals, N.E.C. Date Published: 10/07/2015 Desc: Colageno Hidrolizado Shake Alteada Notes: Colageno Hidrolizado Shake, Goji-Loe, Nectar Supreme and OxiCell products are misbranded within the meaning of section 403(q)(5)(F) of the Act [21 U.S.C. § 343(q)(5)(F)] in that the presentation of the nutrition information on the labeling of the products does not comply with 21 CFR 101.36 Published on 06/11/2015 54 Y - - 99 Vitamin, Mineral, Proteins and Unconventional Dietary Specialities For Humans and Animals, N.E.C. Date Published: 10/07/2015 Desc: Goji-Loe Notes: Colageno Hidrolizado Shake; Goji-Loe; Nectar Supreme and OxiCell products are misbranded within the meaning of section 403(q)(5)(F) of the Act [21 U.S.C. 343 (q)(5)(F)] in that the presentation of the nutrition information on the labeling of the products does not comply with 21 CFR 101.36 Published on 06/11/2015
— accessdata.fda.gov, retrieved 2026-09-15
Source
- accessdata.fda.govhttps://www.accessdata.fda.gov/cms_ia/importalert_1144.html