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Eyeshadow and MoCRA
If you make eye shadow, you are not qualified for the small business exemption. That means facility registration, product listing, and good manufacturing practices apply.
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FDA Regulatory Agenda – Fall 2024
The Fall 2024 Unified Agenda of Regulatory Actions is out. The FDA updated the timetable for issuing MoCRA regulations.
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Using Icons & Symbols
While symbols on your product can be good marketing, you need to make sure they are TRUE and you are AUTHORIZED to use them.
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Made in the USA – A good example
If you make the claim that your product is “Made in the USA” there are some very specific rules you must follow. This is a good example (albeit from a food product) that shows a “qualified claim.”
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Consumer reviews – what NOT to do
Not to long ago, the FTC finalized regulations that cover consumer reviews and testimonials. Here we have an example of what NOT to do.
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How to Build an Ingredient Declaration
FDA regulations require ingredient declaration on a cosmetic product. This post explains how you build that ingredient declaration from your master formulation.
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Labeling – Let’s Summarize
It’s back-to-school season! Let’s take a quick review of the label requirements.
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California Allergen Reporting
If you sell cosmetic products in California (or sell to California residents from an out-of-state online store) you may have some reporting requirements concerning fragrance allergens.
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Consumer Reviews & Testimonials
On August 21, 2024, the FTC announced their new regulations on endorsements and testimonials. No more fake reviews!
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Plain Soap vs. Antibacterial Soap
According to the FDA, there isn’t any evidence to show that using an antibacterial soap is any better than plain soap when it comes to preventing illness.
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MoCRA Fragrance Allergen Regulations
FDA has scheduled ther proposed rule for fragrance allergens for October 2024.