New PRC regulations have just been issued that will have a substantive impact on infant formula manufacturers – both international and domestic.
The Administration Measures for the Registration of Formulas of Infant Formula Milk Powder (“Registration Measures”) was officially published on June 6, 2016 by China Food and Drug Administration (“CFDA”) some eight months after the CFDA released its draft for public comment (“Draft”). The Registration Measures will become effective on October 1, 2016 and their genesis can be found in the PRC Food Safety Law of 2015.
According to Registration Measures and new Food Safety Law effective since last year, the formulas for all infant formula products manufactured and/or sold in China must be registered with CFDA, otherwise such products may not manufactured or sold. Formula registration is a new approach of PRC government aiming to improve the safety of infant formula products. The Registration Measures have specified the application scope, process, and other related issues. It will have substantial impact on various domestic and foreign diary companies, regardless of their reliance on traditional trade model or cross-border e-commerce. ...
As the Registration Measures would become effective on October 1, 2016, as such, unless the laws stipulated otherwise, the infant formula milk powder manufactured in and imported to China via the trade in goods would subject to this Registration Measures sooner. It is important to note the complexity and time limits in respect of registration it is recommended that both domestic or foreign manufacturing enterprises engaging in production of infant formula milk powder to start preparing for and initiating registration procedures as quickly as possible.
Time is ticking – it should be noted that PRC Ministry of Finance regulations require that registration requirements for infant formula will come into force on January 1, 2018. Accordingly, although there is still time for companies to register but the clock is ticking. Brands relying strongly upon the cross-border ecommerce channel should start registration preparations immediately. It is likely that supervisory requirements and procedures for formula products which have not been imported to China via general trade will become more complex and subject to more scrutiny.More in Lexology.
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