# RADIANT FROZEN FOODS CO., LTD. · 99-39 · TAIWAN — FDA import alert red lists: firms subject to detention without physical examination For RADIANT FROZEN FOODS CO., LTD. · 99-39 · TAIWAN, import alert is 99-39; import alert name is Detention Without Physical Examination of Imported Food Products That Appear to Be Misbranded; country is TAIWAN; product is Frozen Simulated Lobster Ball | Frozen Simulated Lobster Ball | Frozen Simulated Lobster Ball | Frozen Simulated Lobster Ball | Frozen Simulated Lobster Ball | Frozen Simulated Lobster Ball; product code is 16 A - - 99 Fish, N.E.C. | 16 C - - 28 Pollack, Cakes, Balls, Etc. | 16 C - - 99 Fish Cakes, Balls, Etc., N.E.C. | 16 J - - 04 Lobster | 16 R - - 02 Crab, Imitation | 16 R - - 04 Lobster, Imitation; date published is 11/08/2019; address is Wuxun St. , No. 8 Anle Dist. , Keelung, Keelung TAIWAN, verified against its source on 2026-09-16. - **Firm:** RADIANT FROZEN FOODS CO., 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:** TAIWAN _(verified: appears in the quote below)_ - **Address:** Wuxun St. , No. 8 Anle Dist. , Keelung, Keelung TAIWAN _(verified: appears in the quote below)_ - **Date published:** 11/08/2019 _(verified: appears in the quote below)_ - **Product code:** 16 A - - 99 Fish, N.E.C. | 16 C - - 28 Pollack, Cakes, Balls, Etc. | 16 C - - 99 Fish Cakes, Balls, Etc., N.E.C. | 16 J - - 04 Lobster | 16 R - - 02 Crab, Imitation | 16 R - - 04 Lobster, Imitation _(verified: each item appears in the quote below)_ - **Product:** Frozen Simulated Lobster Ball | Frozen Simulated Lobster Ball | Frozen Simulated Lobster Ball | Frozen Simulated Lobster Ball | Frozen Simulated Lobster Ball | Frozen Simulated Lobster Ball _(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 Act, in that it appears to be misbranded within the meaning of: Section 403(q) of the FD&C Act [21 U.S.C. §343(q)] because it fails to declare nutrition information in accordance with 21 CFR 101.9. Specifically: The serving size is declared as 100 g. The appropriate RACC is 85 g cooked or 110 g uncooked (21 CFR 101.12-Table 2-Entrees without sauce, e.g., plain or fried fish and shellfish, fish and shellfish cake); therefore, all nutrition information is incorrect. Furthermore, the serving size is not expressed in a common household measure as a number of discrete pieces. The Percent Daily Value for Vitamin A, Vitamin C, Calcium, and Iron have been left blank. If these nutrients are absent or present at levels to be declared as 0%, the nutrition information should reflect such information. The product bears errors in formatting and rounding. Section 403(i)(2) of the FD&C Act [21 U.S.C. §343(i)(2)] because the product fails to declare each ingredient, in accordance with 21 CFR 101.4. Specifically, the product label fails to declare ingredients in descending order of prominence. The product label appears to collectively group the additives (through the use of intervening material in the form of the word "Additives"). | The article is subject to refusal of admission pursuant to Section 801(a)(3) of the Act, in that it appears to be misbranded within the meaning of: Section 403(q) of the FD&C Act [21 U.S.C. §343(q)] because it fails to declare nutrition information in accordance with 21 CFR 101.9. Specifically: The serving size is declared as 100 g. The appropriate RACC is 85 g cooked or 110 g uncooked (21 CFR 101.12-Table 2-Entrees without sauce, e.g., plain or fried fish and shellfish, fish and shellfish cake); therefore, all nutrition information is incorrect. Furthermore, the serving size is not expressed in a common household measure as a number of discrete pieces. The Percent Daily Value for Vitamin A, Vitamin C, Calcium, and Iron have been left blank. If these nutrients are absent or present at levels to be declared as 0%, the nutrition information should reflect such information. The product bears errors in formatting and rounding. Section 403(i)(2) of the FD&C Act [21 U.S.C. §343(i)(2)] because the product fails to declare each ingredient, in accordance with 21 CFR 101.4. Specifically, the product label fails to declare ingredients in descending order of prominence. The product label appears to collectively group the additives (through the use of intervening material in the form of the word "Additives"). | The article is subject to refusal of admission pursuant to Section 801(a)(3) of the Act, in that it appears to be misbranded within the meaning of: Section 403(q) of the FD&C Act [21 U.S.C. §343(q)] because it fails to declare nutrition information in accordance with 21 CFR 101.9. Specifically: The serving size is declared as 100 g. The appropriate RACC is 85 g cooked or 110 g uncooked (21 CFR 101.12-Table 2-Entrees without sauce, e.g., plain or fried fish and shellfish, fish and shellfish cake); therefore, all nutrition information is incorrect. Furthermore, the serving size is not expressed in a common household measure as a number of discrete pieces. The Percent Daily Value for Vitamin A, Vitamin C, Calcium, and Iron have been left blank. If these nutrients are absent or present at levels to be declared as 0%, the nutrition information should reflect such information. The product bears errors in formatting and rounding. Section 403(i)(2) of the FD&C Act [21 U.S.C. §343(i)(2)] because the product fails to declare each ingredient, in accordance with 21 CFR 101.4. Specifically, the product label fails to declare ingredients in descending order of prominence. The product label appears to collectively group the additives (through the use of intervening material in the form of the word "Additives"). | The article is subject to refusal of admission pursuant to Section 801(a)(3) of the Act, in that it appears to be misbranded within the meaning of: Section 403(q) of the FD&C Act [21 U.S.C. §343(q)] because it fails to declare nutrition information in accordance with 21 CFR 101.9. Specifically: The serving size is declared as 100 g. The appropriate RACC is 85 g cooked or 110 g uncooked (21 CFR 101.12-Table 2-Entrees without sauce, e.g., plain or fried fish and shellfish, fish and shellfish cake); therefore, all nutrition information is incorrect. Furthermore, the serving size is not expressed in a common household measure as a number of discrete pieces. The Percent Daily Value for Vitamin A, Vitamin C, Calcium, and Iron have been left blank. If these nutrients are absent or present at levels to be declared as 0%, the nutrition information should reflect such information. The product bears errors in formatting and rounding. Section 403(i)(2) of the FD&C Act [21 U.S.C. §343(i)(2)] because the product fails to declare each ingredient, in accordance with 21 CFR 101.4. Specifically, the product label fails to declare ingredients in descending order of prominence. The product label appears to collectively group the additives (through the use of intervening material in the form of the word "Additives"). | The article is subject to refusal of admission pursuant to Section 801(a)(3) of the Act, in that it appears to be misbranded within the meaning of: Section 403(q) of the FD&C Act [21 U.S.C. §343(q)] because it fails to declare nutrition information in accordance with 21 CFR 101.9. Specifically: The serving size is declared as 100 g. The appropriate RACC is 85 g cooked or 110 g uncooked (21 CFR 101.12-Table 2-Entrees without sauce, e.g., plain or fried fish and shellfish, fish and shellfish cake); therefore, all nutrition information is incorrect. Furthermore, the serving size is not expressed in a common household measure as a number of discrete pieces. The Percent Daily Value for Vitamin A, Vitamin C, Calcium, and Iron have been left blank. If these nutrients are absent or present at levels to be declared as 0%, the nutrition information should reflect such information. The product bears errors in formatting and rounding. Section 403(i)(2) of the FD&C Act [21 U.S.C. §343(i)(2)] because the product fails to declare each ingredient, in accordance with 21 CFR 101.4. Specifically, the product label fails to declare ingredients in descending order of prominence. The product label appears to collectively group the additives (through the use of intervening material in the form of the word "Additives"). | The article is subject to refusal of admission pursuant to Section 801(a)(3) of the Act, in that it appears to be misbranded within the meaning of: Section 403(q) of the FD&C Act [21 U.S.C. §343(q)] because it fails to declare nutrition information in accordance with 21 CFR 101.9. Specifically: The serving size is declared as 100 g. The appropriate RACC is 85 g cooked or 110 g uncooked (21 CFR 101.12-Table 2-Entrees without sauce, e.g., plain or fried fish and shellfish, fish and shellfish cake); therefore, all nutrition information is incorrect. Furthermore, the serving size is not expressed in a common household measure as a number of discrete pieces. The Percent Daily Value for Vitamin A, Vitamin C, Calcium, and Iron have been left blank. If these nutrients are absent or present at levels to be declared as 0%, the nutrition information should reflect such information. The product bears errors in formatting and rounding. Section 403(i)(2) of the FD&C Act [21 U.S.C. §343(i)(2)] because the product fails to declare each ingredient, in accordance with 21 CFR 101.4. Specifically, the product label fails to declare ingredients in descending order of prominence. The product label appears to collectively group the additives (through the use of intervening material in the form of the word "Additives"). _(verified: each item appears in the quote below)_ ## What the source says > RADIANT FROZEN FOODS CO., LTD. Date Published : 11/08/2019 Wuxun St. , No. 8 Anle Dist. , Keelung, Keelung TAIWAN 16 A - - 99 Fish, N.E.C. Date Published: 11/08/2019 Desc: Frozen Simulated Lobster Ball Notes: The article is subject to refusal of admission pursuant to Section 801(a)(3) of the Act, in that it appears to be misbranded within the meaning of: Section 403(q) of the FD&C Act [21 U.S.C. §343(q)] because it fails to declare nutrition information in accordance with 21 CFR 101.9. Specifically: The serving size is declared as 100 g. The appropriate RACC is 85 g cooked or 110 g uncooked (21 CFR 101.12-Table 2-Entrees without sauce, e.g., plain or fried fish and shellfish, fish and shellfish cake); therefore, all nutrition information is incorrect. Furthermore, the serving size is not expressed in a common household measure as a number of discrete pieces. The Percent Daily Value for Vitamin A, Vitamin C, Calcium, and Iron have been left blank. If these nutrients are absent or present at levels to be declared as 0%, the nutrition information should reflect such information. The product bears errors in formatting and rounding. Section 403(i)(2) of the FD&C Act [21 U.S.C. §343(i)(2)] because the product fails to declare each ingredient, in accordance with 21 CFR 101.4. Specifically, the product label fails to declare ingredients in descending order of prominence. The product label appears to collectively group the additives (through the use of intervening material in the form of the word "Additives"). 16 C - - 28 Pollack, Cakes, Balls, Etc. Date Published: 11/08/2019 Desc: Frozen Simulated Lobster Ball Notes: The article is subject to refusal of admission pursuant to Section 801(a)(3) of the Act, in that it appears to be misbranded within the meaning of: Section 403(q) of the FD&C Act [21 U.S.C. §343(q)] because it fails to declare nutrition information in accordance with 21 CFR 101.9. Specifically: The serving size is declared as 100 g. The appropriate RACC is 85 g cooked or 110 g uncooked (21 CFR 101.12-Table 2-Entrees without sauce, e.g., plain or fried fish and shellfish, fish and shellfish cake); therefore, all nutrition information is incorrect. Furthermore, the serving size is not expressed in a common household measure as a number of discrete pieces. The Percent Daily Value for Vitamin A, Vitamin C, Calcium, and Iron have been left blank. If these nutrients are absent or present at levels to be declared as 0%, the nutrition information should reflect such information. The product bears errors in formatting and rounding. Section 403(i)(2) of the FD&C Act [21 U.S.C. §343(i)(2)] because the product fails to declare each ingredient, in accordance with 21 CFR 101.4. Specifically, the product label fails to declare ingredients in descending order of prominence. The product label appears to collectively group the additives (through the use of intervening material in the form of the word "Additives"). 16 C - - 99 Fish Cakes, Balls, Etc., N.E.C. Date Published: 11/08/2019 Desc: Frozen Simulated Lobster Ball Notes: The article is subject to refusal of admission pursuant to Section 801(a)(3) of the Act, in that it appears to be misbranded within the meaning of: Section 403(q) of the FD&C Act [21 U.S.C. §343(q)] because it fails to declare nutrition information in accordance with 21 CFR 101.9. Specifically: The serving size is declared as 100 g. The appropriate RACC is 85 g cooked or 110 g uncooked (21 CFR 101.12-Table 2-Entrees without sauce, e.g., plain or fried fish and shellfish, fish and shellfish cake); therefore, all nutrition information is incorrect. Furthermore, the serving size is not expressed in a common household measure as a number of discrete pieces. The Percent Daily Value for Vitamin A, Vitamin C, Calcium, and Iron have been left blank. If these nutrients are absent or present at levels to be declared as 0%, the nutrition information should reflect such information. The product bears errors in formatting and rounding. Section 403(i)(2) of the FD&C Act [21 U.S.C. §343(i)(2)] because the product fails to declare each ingredient, in accordance with 21 CFR 101.4. Specifically, the product label fails to declare ingredients in descending order of prominence. The product label appears to collectively group the additives (through the use of intervening material in the form of the word "Additives"). 16 J - - 04 Lobster Date Published: 11/08/2019 Desc: Frozen Simulated Lobster Ball Notes: The article is subject to refusal of admission pursuant to Section 801(a)(3) of the Act, in that it appears to be misbranded within the meaning of: Section 403(q) of the FD&C Act [21 U.S.C. §343(q)] because it fails to declare nutrition information in accordance with 21 CFR 101.9. Specifically: The serving size is declared as 100 g. The appropriate RACC is 85 g cooked or 110 g uncooked (21 CFR 101.12-Table 2-Entrees without sauce, e.g., plain or fried fish and shellfish, fish and shellfish cake); therefore, all nutrition information is incorrect. Furthermore, the serving size is not expressed in a common household measure as a number of discrete pieces. The Percent Daily Value for Vitamin A, Vitamin C, Calcium, and Iron have been left blank. If these nutrients are absent or present at levels to be declared as 0%, the nutrition information should reflect such information. The product bears errors in formatting and rounding. Section 403(i)(2) of the FD&C Act [21 U.S.C. §343(i)(2)] because the product fails to declare each ingredient, in accordance with 21 CFR 101.4. Specifically, the product label fails to declare ingredients in descending order of prominence. The product label appears to collectively group the additives (through the use of intervening material in the form of the word "Additives"). 16 R - - 02 Crab, Imitation Date Published: 11/08/2019 Desc: Frozen Simulated Lobster Ball Notes: The article is subject to refusal of admission pursuant to Section 801(a)(3) of the Act, in that it appears to be misbranded within the meaning of: Section 403(q) of the FD&C Act [21 U.S.C. §343(q)] because it fails to declare nutrition information in accordance with 21 CFR 101.9. Specifically: The serving size is declared as 100 g. The appropriate RACC is 85 g cooked or 110 g uncooked (21 CFR 101.12-Table 2-Entrees without sauce, e.g., plain or fried fish and shellfish, fish and shellfish cake); therefore, all nutrition information is incorrect. Furthermore, the serving size is not expressed in a common household measure as a number of discrete pieces. The Percent Daily Value for Vitamin A, Vitamin C, Calcium, and Iron have been left blank. If these nutrients are absent or present at levels to be declared as 0%, the nutrition information should reflect such information. The product bears errors in formatting and rounding. Section 403(i)(2) of the FD&C Act [21 U.S.C. §343(i)(2)] because the product fails to declare each ingredient, in accordance with 21 CFR 101.4. Specifically, the product label fails to declare ingredients in descending order of prominence. The product label appears to collectively group the additives (through the use of intervening material in the form of the word "Additives"). 16 R - - 04 Lobster, Imitation Date Published: 11/08/2019 Desc: Frozen Simulated Lobster Ball Notes: The article is subject to refusal of admission pursuant to Section 801(a)(3) of the Act, in that it appears to be misbranded within the meaning of: Section 403(q) of the FD&C Act [21 U.S.C. §343(q)] because it fails to declare nutrition information in accordance with 21 CFR 101.9. Specifically: The serving size is declared as 100 g. The appropriate RACC is 85 g cooked or 110 g uncooked (21 CFR 101.12-Table 2-Entrees without sauce, e.g., plain or fried fish and shellfish, fish and shellfish cake); therefore, all nutrition information is incorrect. Furthermore, the serving size is not expressed in a common household measure as a number of discrete pieces. The Percent Daily Value for Vitamin A, Vitamin C, Calcium, and Iron have been left blank. If these nutrients are absent or present at levels to be declared as 0%, the nutrition information should reflect such information. The product bears errors in formatting and rounding. Section 403(i)(2) of the FD&C Act [21 U.S.C. §343(i)(2)] because the product fails to declare each ingredient, in accordance with 21 CFR 101.4. Specifically, the product label fails to declare ingredients in descending order of prominence. The product label appears to collectively group the additives (through the use of intervening material in the form of the word "Additives"). ## 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/).