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Regulatory Interpretations

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

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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.

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Companies in the food packaging manufacturing chain are not, for the most part, currently subject to declaration requirements under the Lacey Act

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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

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We produce trays for smoked seafood out of HDPE FDA grade material. We have cleaning and sanitization processes to minimize the likelihood of the

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