Reference Source

SABRITAS, S.de R.L. de C.V. · 99-39 · MEXICO

For SABRITAS, 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 Tostitos Salsa Verde Corn Chips | Cheetos Horneados Bolitas | Cheetos Horneados Bolitas | Tostitos Salsa Verde Corn Chips; product code is 07 B - - 02 Corn Chips, Fried | 07 B - - 03 Cheese Puffs, Fired | 07 B - - 99 Fried Snack Foods, N.E.C. | 07 B - - 99 Fried Snack Foods, N.E.C; date published is 10/02/2015; address is Calle Norte 45 # 740 , Col. Industrial Vallejo, Azcapotzalco , Ciudad De Mexico, Ciudad de Mexico MEXICO, verified against its source on 2026-09-16.

Firm
SABRITAS, 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 Norte 45 # 740 , Col. Industrial Vallejo, Azcapotzalco , Ciudad De Mexico, Ciudad de Mexico MEXICO verified
Date published
10/02/2015 verified
Product code
07 B - - 02 Corn Chips, Fried | 07 B - - 03 Cheese Puffs, Fired | 07 B - - 99 Fried Snack Foods, N.E.C. | 07 B - - 99 Fried Snack Foods, N.E.C. each item verified
Product
Tostitos Salsa Verde Corn Chips | Cheetos Horneados Bolitas | Cheetos Horneados Bolitas | Tostitos Salsa Verde Corn Chips each item verified
FDA notes
The article is subject to refusal of admission pursuant to Section 801(a)(3) of the FD&C Act in that it appears to be misbranded within the meaning of: Section 403(a)(1), product declares "Total Fat" as "8g"; however, the "Calories from Fat" appear to be incorrectly declared as "0". Section 403(i)(2), missing declaration of the common or usual name for each ingredient: 'mixed cheeses', 'corn flakes' and 'chili mix (21 CFR 101.4); 'flavoring' (21 CFR 101.22) and 'vegetable oil' (21 CFR 101.4(b)(14)). Section 403(r)(1)(A), product declares 'Low in Saturated Fat' and '25% less saturated fat', but fails to meet the requirements of 21 CFR 101.62(c)(2) and 21 CFR 101.130. Section 403(q), serving sizes does not appear to be represented in an amount customarily consumed and are not expressed in a common household measure that is appropriate to the food, in accordance with 21 CFR 101.9(b). Product declares serving size as "25g" without declaring the common household unit, such as 'pieces'. The reference amount for these snack products would be 30g; therefore, it appears that the nutrient values for these products were all based on an improper amount. Products incorrectly declare "trans fat" after "polyunsaturated fat", rather than after the "saturated fat" (21 CFR 101.9(c)); and the dietary fiber fails to declare a %DV (21 CFR 101.9(d)). | The article is subject to refusal of admission pursuant to Section 801(a)(3) of the FD&C Act in that it appears to be misbranded within the meaning of: Section 403(a)(1), product declares "Total Fat" as "6g"; however, the "Calories from Fat" appear to be incorrectly declared as "0". Section 403(i)(2), product declares "hydrolyzed protein meat", which is not the common or usual name of the ingredient in accordance with 21 CFR 101.A and "vegetable oil" is not declared in accordance with 21 CFR 101.4(b)(l4). Section 403(r)(1)(A), product declares "0g trans fat" on the PDP, but fails to declare the disclosure statement required under 21 CFR 101.13(h); this statement is required because it contains 5g of saturated fat per 50g (based on the label declaration). Section 403(q), serving sizes does not appear to be represented in an amount customarily consumed and are not expressed in a common household measure that is appropriate to the food, in accordance with 21 CFR 101.9(b). Product declares their serving size as "25g" without declaring the common household unit, such as 'pieces'. The reference amount for these snack products would be 30g; therefore, it appears that the nutrient values for these products were all based on an improper amount. And products incorrectly declare "trans fat" after "polyunsaturated fat", rather than after the "saturated fat" (21 CFR 101.9(c)); and the dietary fiber fails to declare a %DV (21 CFR 101.9(d)). | The article is subject to refusal of admission pursuant to Section 801(a)(3) of the FD&C Act in that it appears to be misbranded within the meaning of: Section 403(a)(1), product declares "Total Fat" as "8g"; however, the "Calories from Fat" appear to be incorrectly declared as "0". Section 403(i)(2), missing declaration of the common or usual name for each ingredient: 'mixed cheeses', 'corn flakes' and 'chili mix (21 CFR 101.4); 'flavoring' (21 CFR 101.22) and 'vegetable oil' (21 CFR 101.4(b)(14)). Section 403(r)(1)(A), product declares 'Low in Saturated Fat' and '25% less saturated fat', but fails to meet the requirements of 21 CFR 101.62(c)(2) and 21 CFR 101.130. Section 403(q), serving sizes does not appear to be represented in an amount customarily consumed and are not expressed in a common household measure that is appropriate to the food, in accordance with 21 CFR 101.9(b). Product declares serving size as "25g" without declaring the common household unit, such as 'pieces'. The reference amount for these snack products would be 30g; therefore, it appears that the nutrient values for these products were all based on an improper amount. Products incorrectly declare "trans fat" after "polyunsaturated fat", rather than after the "saturated fat" (21 CFR 101.9(c)); and the dietary fiber fails to declare a %DV (21 CFR 101.9(d)). | The article is subject to refusal of admission pursuant to Section 801(a)(3) of the FD&C Act in that it appears to be misbranded within the meaning of: Section 403(a)(1), product declares "Total Fat" as "6g"; however, the "Calories from Fat" appear to be incorrectly declared as "0". Section 403(i)(2), product declares "hydrolyzed protein meat", which is not the common or usual name of the ingredient in accordance with 21 CFR 101.A and "vegetable oil" is not declared in accordance with 21 CFR 101.4(b)(l4). Section 403(r)(1)(A), product declares "0g trans fat" on the PDP, but fails to declare the disclosure statement required under 21 CFR 101.13(h); this statement is required because it contains 5g of saturated fat per 50g (based on the label declaration). Section 403(q), serving sizes does not appear to be represented in an amount customarily consumed and are not expressed in a common household measure that is appropriate to the food, in accordance with 21 CFR 101.9(b). Product declares their serving size as "25g" without declaring the common household unit, such as 'pieces'. The reference amount for these snack products would be 30g; therefore, it appears that the nutrient values for these products were all based on an improper amount. And products incorrectly declare "trans fat" after "polyunsaturated fat", rather than after the "saturated fat" (21 CFR 101.9(c)); and the dietary fiber fails to declare a %DV (21 CFR 101.9(d)). each item verified
Sourceaccessdata.fda.gov
Verified
Review by
DatasetFDA import alert red lists: firms subject to detention without physical examination

What the source says

SABRITAS, S.de R.L. de C.V. Date Published : 10/02/2015 Calle Norte 45 # 740 , Col. Industrial Vallejo, Azcapotzalco , Ciudad De Mexico, Ciudad de Mexico MEXICO 07 B - - 02 Corn Chips, Fried Date Published: 09/20/2019 Desc: Tostitos Salsa Verde Corn Chips Notes: The article is subject to refusal of admission pursuant to Section 801(a)(3) of the FD&C Act in that it appears to be misbranded within the meaning of: Section 403(a)(1), product declares "Total Fat" as "8g"; however, the "Calories from Fat" appear to be incorrectly declared as "0". Section 403(i)(2), missing declaration of the common or usual name for each ingredient: 'mixed cheeses', 'corn flakes' and 'chili mix (21 CFR 101.4); 'flavoring' (21 CFR 101.22) and 'vegetable oil' (21 CFR 101.4(b)(14)). Section 403(r)(1)(A), product declares 'Low in Saturated Fat' and '25% less saturated fat', but fails to meet the requirements of 21 CFR 101.62(c)(2) and 21 CFR 101.130. Section 403(q), serving sizes does not appear to be represented in an amount customarily consumed and are not expressed in a common household measure that is appropriate to the food, in accordance with 21 CFR 101.9(b). Product declares serving size as "25g" without declaring the common household unit, such as 'pieces'. The reference amount for these snack products would be 30g; therefore, it appears that the nutrient values for these products were all based on an improper amount. Products incorrectly declare "trans fat" after "polyunsaturated fat", rather than after the "saturated fat" (21 CFR 101.9(c)); and the dietary fiber fails to declare a %DV (21 CFR 101.9(d)). 07 B - - 03 Cheese Puffs, Fired Date Published: 09/20/2019 Desc: Cheetos Horneados Bolitas Notes: The article is subject to refusal of admission pursuant to Section 801(a)(3) of the FD&C Act in that it appears to be misbranded within the meaning of: Section 403(a)(1), product declares "Total Fat" as "6g"; however, the "Calories from Fat" appear to be incorrectly declared as "0". Section 403(i)(2), product declares "hydrolyzed protein meat", which is not the common or usual name of the ingredient in accordance with 21 CFR 101.A and "vegetable oil" is not declared in accordance with 21 CFR 101.4(b)(l4). Section 403(r)(1)(A), product declares "0g trans fat" on the PDP, but fails to declare the disclosure statement required under 21 CFR 101.13(h); this statement is required because it contains 5g of saturated fat per 50g (based on the label declaration). Section 403(q), serving sizes does not appear to be represented in an amount customarily consumed and are not expressed in a common household measure that is appropriate to the food, in accordance with 21 CFR 101.9(b). Product declares their serving size as "25g" without declaring the common household unit, such as 'pieces'. The reference amount for these snack products would be 30g; therefore, it appears that the nutrient values for these products were all based on an improper amount. And products incorrectly declare "trans fat" after "polyunsaturated fat", rather than after the "saturated fat" (21 CFR 101.9(c)); and the dietary fiber fails to declare a %DV (21 CFR 101.9(d)). 07 B - - 99 Fried Snack Foods, N.E.C. Date Published: 09/20/2019 Desc: Cheetos Horneados Bolitas Notes: The article is subject to refusal of admission pursuant to Section 801(a)(3) of the FD&C Act in that it appears to be misbranded within the meaning of: Section 403(a)(1), product declares "Total Fat" as "8g"; however, the "Calories from Fat" appear to be incorrectly declared as "0". Section 403(i)(2), missing declaration of the common or usual name for each ingredient: 'mixed cheeses', 'corn flakes' and 'chili mix (21 CFR 101.4); 'flavoring' (21 CFR 101.22) and 'vegetable oil' (21 CFR 101.4(b)(14)). Section 403(r)(1)(A), product declares 'Low in Saturated Fat' and '25% less saturated fat', but fails to meet the requirements of 21 CFR 101.62(c)(2) and 21 CFR 101.130. Section 403(q), serving sizes does not appear to be represented in an amount customarily consumed and are not expressed in a common household measure that is appropriate to the food, in accordance with 21 CFR 101.9(b). Product declares serving size as "25g" without declaring the common household unit, such as 'pieces'. The reference amount for these snack products would be 30g; therefore, it appears that the nutrient values for these products were all based on an improper amount. Products incorrectly declare "trans fat" after "polyunsaturated fat", rather than after the "saturated fat" (21 CFR 101.9(c)); and the dietary fiber fails to declare a %DV (21 CFR 101.9(d)). 07 B - - 99 Fried Snack Foods, N.E.C. Date Published: 09/20/2019 Desc: Tostitos Salsa Verde Corn Chips Notes: The article is subject to refusal of admission pursuant to Section 801(a)(3) of the FD&C Act in that it appears to be misbranded within the meaning of: Section 403(a)(1), product declares "Total Fat" as "6g"; however, the "Calories from Fat" appear to be incorrectly declared as "0". Section 403(i)(2), product declares "hydrolyzed protein meat", which is not the common or usual name of the ingredient in accordance with 21 CFR 101.A and "vegetable oil" is not declared in accordance with 21 CFR 101.4(b)(l4). Section 403(r)(1)(A), product declares "0g trans fat" on the PDP, but fails to declare the disclosure statement required under 21 CFR 101.13(h); this statement is required because it contains 5g of saturated fat per 50g (based on the label declaration). Section 403(q), serving sizes does not appear to be represented in an amount customarily consumed and are not expressed in a common household measure that is appropriate to the food, in accordance with 21 CFR 101.9(b). Product declares their serving size as "25g" without declaring the common household unit, such as 'pieces'. The reference amount for these snack products would be 30g; therefore, it appears that the nutrient values for these products were all based on an improper amount. And products incorrectly declare "trans fat" after "polyunsaturated fat", rather than after the "saturated fat" (21 CFR 101.9(c)); and the dietary fiber fails to declare a %DV (21 CFR 101.9(d)).

accessdata.fda.gov, retrieved 2026-09-15

Source

Last verified against source: . Due for re-check by . This page as Markdown · OKF bundle · full dataset as JSON.

This one changes, and we watch it.FDA import alert red lists: firms subject to detention without physical examination is re-read on a schedule and every change is dated. Subscribe: Atom feed · JSON · what has changed so far.