Guest guest Posted July 21, 2004 Report Share Posted July 21, 2004 Hi Alice, The information on the FDA website can be a little overwhelming. May I suggest that when you have questions concerning compliance with FDA regulations and conflicting information from various sources (like me and others), you also consider contacting your Regional FDA office and speaking to a Compliance Officer. Here is the phone number for the Regional Office in the Pacific Northwest: Seattle District (SEA-DO), 2201 23rd Drive SE, Bothell, WA 98021-4421 Main Number and Emergency (after hours) Answering Service In an earlier Pam stated: Even a private label needs to contain information about whom the manufacturer is. You need to insist that your company name, contact info, and website be included somewhere on the label preceded by a statement saying something like, " Manufactured exclusively for [Client Name] by .... " Just tell them the FDA requires that the city of manufacture be included on the label. Seems silly to include the city without indicating the company, too .... but I suppose I'm not a neutral opinion on this. As I mentioned before, these statements are not correct. It is the name and address of the marketer that must be on the label. A marketer may be a manufacturer, a packer, or a distributor (the FDA doesn't care). But in the case of Private Label, if a company has contracted with a manufacturer to create a private label product for them to market, the manufacture's name or city/state does not need to be on the label in addition to the marketer's. That is not to say that both cannot be on the label if you and your customer want both on there, but to say that both must be on there or that the manufacturer's must be on there is incorrect. We have been referring to an excerpt of the CFR that is quoted on this page: http://www.cfsan.fda.gov/~dms/cos-lab1.html This is an excerpt from Title 21, Code of Federal Regulations (21 CFR) Part 701 covering Cosmetic Labeling. The full text of the actual regulations can be found here (and might make things a little clearer): http://frwebgate.access.gpo.gov/cgi-bin/get-cfr.cgi?TITLE=21 & PART=701 & SECTION=12\ & YEAR=2000 & TYPE=TEXT Please note below in Sec 701.12 (a), ( it clearly states: " The requirement for declaration of the name of the manufacturer, packer, OR distributor, " not AND distributor. TITLE 21--FOOD AND DRUGS DEPARTMENT OF HEALTH AND HUMAN SERVICES--(Continued) PART 701--COSMETIC LABELING--Table of Contents Subpart B--Package Form Sec. 701.12 Name and place of business of manufacturer, packer, or distributor. (a) The label of a cosmetic in package form shall specify conspicuously the name and place of business of the manufacturer, packer, or distributor. ( The requirement for declaration of the name of the manufacturer, packer, or distributor shall be deemed to be satisfied in the case of a corporation only by the actual corporate name, which may be preceded or followed by the name of the particular division of the corporation. Abbreviations for ``Company,'' ``Incorporated,'' etc., may be used and ``The'' may be omitted. In the case of an individual, partnership, or association, the name under which the business is conducted shall be used. © Where the cosmetic is not manufactured by the person whose name appears on the label, the name shall be qualified by a phrase that reveals the connection such person has with such cosmetic; such as, ``Manufactured for ______________'', ``Distributed by ________________'', or any other wording that expresses the facts. (d) The statement of the place of business shall include the street address, city, State, and ZIP Code; however, the street address may be omitted if it is shown in a current city directory or telephone directory. The requirement for inclusion of the ZIP Code shall apply only to consumer commodity labels developed or revised after the effective date of this section. I called today and spoke at length with a Compliance Officer at the Seattle office of the FDA regarding the above Private Label issues. She confirmed my understanding of the regulations. There are hundreds of companies in this country doing private label contracting for distributors large and small. In most cases, the actual manufacturer of the goods will NOT be known by the consumer, unless by agreement of the parties they want it known to promote the marketer's " exclusive " arrangement with the manufacturer of a well known product. If you are doing Private Label for a customer, it is perfectly correct NOT to have the manufacturer's name or city/state on the label. However, your customer's name and address must be on the label and must be preceded by: " Distributed BY " or " Manufactured FOR, " or words to that effect, to make it very clear the relationship the distributor/marketer (your customer) has with the product (in other words, they didn't manufacturer it, somebody else manufactured it for them). Regards, Lotioncrafter www.lotioncrafter.com Re: Private Label Update | Well, I am so grateful for all the response and thoughts on the private | label questions I posed. I did go into the FDA site and read till I was | crosseyed and what I gleaned from it was exactly what Pam said " the name of | the manufacturer, distributor or packager " is what the FDA said has to be on | the label. And I already put " Made in Gold Beach, Oregon especially for XXX | Gifts " followed by her addy and such. | Quote Link to comment Share on other sites More sharing options...
Guest guest Posted July 22, 2004 Report Share Posted July 22, 2004 I felt the need to add that Pam and Pamela are two different people in this discussion. , you refer to Pamela as Pam and it may cause confusion on the conversation topic when reading back through all the info in this thread. She and I are both responding to this issue and it may be a tad confusing. I've enjoyed the thread and have taken much away for my records. Thanks and to all who have responded. Pamela is more seasoned than I and I just felt the need to clarify that. I'm the Pam thinking outloud and asking questions. <*S> the other Pam Quote Link to comment Share on other sites More sharing options...
Guest guest Posted July 22, 2004 Report Share Posted July 22, 2004 LOL ... " more seasoned " ... that cracked me up. I think it's very interesting that several of us have very different interpretations of these guidelines. I think this is definitely an area worthy of calling our FDA reps and seeing what they say. Heck ... I lead seminars on FDA labeling and I'm even confused about this now!!!!!!!!!!!! I hate that!!!! LOL Pamela Reilly Pleasing Odors Creations www.pleasingodors.com Re: Re: Private Label Update I felt the need to add that Pam and Pamela are two different people in this discussion. , you refer to Pamela as Pam and it may cause confusion on the conversation topic when reading back through all the info in this thread. She and I are both responding to this issue and it may be a tad confusing. I've enjoyed the thread and have taken much away for my records. Thanks and to all who have responded. Pamela is more seasoned than I and I just felt the need to clarify that. I'm the Pam thinking outloud and asking questions. <*S> the other Pam Quote Link to comment Share on other sites More sharing options...
Guest guest Posted July 22, 2004 Report Share Posted July 22, 2004 I'm sorry, Pam E. I do know there are both a Pamela and a Pam E. here. The problem was that I was responding to a message from Alice at Moose Creek. Alice referred to Pam, not Pamela as follows: >>From: " Moose Creek " <moosecreekcreations@... >>< > >>Sent: Tuesday, July 20, 2004 10:15 PM >>Subject: Re: Private Label Update >> " I did go into the FDA site and read till I was >>crosseyed and what I gleaned from it was exactly what Pam said " the name of >>the manufacturer, distributor or packager " is what the FDA said has to be on >>the label. And I already put " Made in Gold Beach, Oregon especially for XXX >>Gifts " followed by her addy and such. I looked at your response on the earlier thread and knew that you were not the Pam that Alice was referring to above. The snippet from the thread above was from Pamela/Pleasing Odors and I was reiterating Pamela's full statement again to clarify, based on my conversation with the FDA, that labeling in the manner Pamela was suggesting was not necessary. LOL I'll say no more (and get out of the hole I'm digging myself into <g>). Lotioncrafter www.lotioncrafter.com Re: Re: Private Label Update I felt the need to add that Pam and Pamela are two different people in this discussion. , you refer to Pamela as Pam and it may cause confusion on the conversation topic when reading back through all the info in this thread. She and I are both responding to this issue and it may be a tad confusing. I've enjoyed the thread and have taken much away for my records. Thanks and to all who have responded. Pamela is more seasoned than I and I just felt the need to clarify that. I'm the Pam thinking outloud and asking questions. <*S> the other Pam Quote Link to comment Share on other sites More sharing options...
Guest guest Posted July 23, 2004 Report Share Posted July 23, 2004 ( said)...I'll say no more (and get out of the hole I'm digging myself into <g>). no no don't you duck and run! You're a valuable player here! I always appreciate your input, no matter the subject. Pam Quote Link to comment Share on other sites More sharing options...
Recommended Posts
Join the conversation
You are posting as a guest. If you have an account, sign in now to post with your account.
Note: Your post will require moderator approval before it will be visible.