The California Department of Justice recently released a guide,
Is elemental copper a GRAS item for single use packaging where it may come into contact with food? I can find no direct reference to this on the
I understand that substances permitted for use in coatings, according to 21 C.F.R. Part 175.300, are also permitted to be used in adhesives (175.
Companies in the food packaging manufacturing chain are not, for the most part, currently subject to declaration requirements under the Lacey Act
Do all the components of an adhesive for food packaging (cardboard boxes) have to be in the list of cleared substances found in 21 C.F.R. 175.105