Cosmetics

Books & Primers

Guide to U.S. Import Requirements for Cosmetics and Other Personal Care Products - An FDLI Primer

June 2015

In the last decade, importation of food into the United States has almost doubled, accounting for about 50 percent of all FDA-regulated i...

Food Law and Regulation, Inspection and Enforcement – an FDLI Primer

June 2015

This primer is designed to be an introduction to food law and regulation. Food law is an ever-growing and ever-changing area of law and r...

Food and Drug Law and Regulation, 3rd Edition

March 2015

Written by the most experienced food and drug attorneys in the United States and edited by four of the most distinguished authorities in ...

Articles

Members Only ContentUpdate Magazine May/June 2015

July 2015

Table of Contents  (Coming soon)

Finding the Right Benefit-Risk Balance in U.S. Sunscreen Regulation

June 2015

FDLI’s Food and Drug Policy Forum May 2015 issue, “Finding the Right Benefit-Risk Balance in U.S. Sunscreen Regulat...

Should Food Businesses Be Able to Use the First Amendment to Resist Providing Consumers with Government-Mandated Public Health Messages?

April 2015

Should government-mandated food labeling ever be considered unconstitutional as impermissible “compelled speech”?  Steph...

Members Only ContentUpdate Magazine March/April 2015

March 2015

Featured Food Labeling Consultations and Modernization in Canada By Martha A. Healey  HIPAA and MOBILE HEALTH APPS: What develop...

Food & Drug Law Journal

A Tale of Two Transparency Attempts at FDA, 68 Food and Drug Law Journal, 423-449 (2013)

July 2015

This Article describes and evaluates two elements of the FDA’s recent operations implicating information transparency: the Transpar...

We Really Need to Talk: Adapting FDA Processes to Rapid Change, 68 Food and Drug Law Journal, 357-400 (2013)

December 2013

The rapidly evolving realm of modern commerce strains traditional regulatory paradigms. This paper traces the historical evolution of FDA...

Does Sackett Foreshadow the End of Non-Reviewability for FDA Warning Letters?, 68 Food and Drug Law Journal, 241-258 (2013).

August 2013

FDA warning letters are considered non-final agency actions and thus are not subject to judicial review under the Administrative Procedur...