By Keller and Heckman LLP’s Packaging Practice Group
The legislative history behind the Food Additives Amendment of 19581 (and the Read more about Disagreements Over Disclosability: FDA Should Contact FCN Submitters Before Releasing Information Claimed as Confidential
The U.S. Food and Drug Administration, like all federal agencies, is required under Read more about Keeping Secrets: Laws Protecting Confidential Business Information Are Open to Interpretation
One means of establishing a generally recognized safe (GRAS) status for a food-contact material is to demonstrate that the intended use of the Read more about Low Dietary Exposure: Basis for a Determination That a Substance Is GRAS
In the United States, a unique regulatory provision identifies a class of direct food Read more about The GRAS Concept: An Element of Flexibility in FDA Regulation of Food Packaging
A rule proposed by the U.S. Food and Drug Administration has significantly altered the procedure for providing information to the agency on Read more about GRAS Notification Procedure: Will It Work for Food-Contact Substances?