An importer is the U.S. owner or consignee of an article of food offered for import into the U.S., or the U.S. agent or representative of the foreign owner or consignee at the time of entry. in. However, as required by the final rule, importers must disclose in documents accompanying the food that the food is not processed to control the identified hazard. The DUNS number is the only acceptable Unique Facility Identifier. Customs Brokers must identify “FSVP Importers” for most food and beverage shipments to the United States, including products with no U.S. owner or consignee. FDA announced that FSVP Importers who do not yet have a DUNS number will be allowed to submit entries using “UNK” (unknown) following the May 30, 2017 compliance date. Therefore, in addition to providing background on and a summary of FDA’s guidance, this post also discusses the significance of DUNS numbers for identifying the FSVP importer. FDA Recognizes DUNS Number as Acceptable for Importer Identification!! In the proposed FSVP rule, FDA recommended that for each line entry of food products offered for importation into the United States, the FSVP importer’s name and D&B DUNS number … On a temporary basis, FDA is allowing filers who do not know the DUNS number for FSVP importers to submit “UNK.” See CSMS #17-000255 for more information. Plainly put, this number is used to track products coming into the country for the FDA. If the importer obtains a certain food from a few different suppliers, a separate FSVP would be required for each of those suppliers. Don’t worry! The Food and Drug Administration (FDA) recently issued a guidance document entitled Recognition of Acceptable Unique Facility Identifier (UFI) for the Foreign Supplier Verification Programs [(FSVP)] Regulation, which recognizes the use of Dun & Bradstreet Data Universal Numbering System (DUNS) numbers for identifying the FSVP importer to FDA when filing entry for imported food. If you meet the definition of Very Small Importer and elect to import foods as such, you are still required to have a DUNS number and comply with the identification requirements at entry, but you are subject to significantly relaxed requirements in other areas. Examples of such circumstances include when the type of food (e.g., such as coffee beans) could not be consumed without application of a preventive control, or when the customer will be significantly minimizing or preventing identified hazards) and they comply with requirements for disclosures and written assurances. 5/ FDA advises that the list will be updated on a quarterly basis. We use cookies to give you the best experience on our website. FSVP Importer’s Name FSVP Importer’s Address FSVP Importer’s Email Address FSVP Importer’s Unique Identifier or DUNS Number More Information If you’re still not sure if FSVP applies to you, check out this handy flow chart . FDAImports is a private FDA regulatory consulting firm and is not the FDA. As part of the declaration, the FSVP Importer must be identified using a “unique facility identifier recognized as acceptable by FDA.” 21 C.F.R. In implementing this regulation, FDA requires importers provide a unique facility identifier (UFI) with each entry through U.S. Customs – along with their legal business name and electronic mailing address. Similarly, if the importer obtains many different foods from a single supplier, a separate FSVP would be required for each food. While this is good news, simplifying things for A DUNS number is a Data Universal Numbering System number and is a unique and universal number used to identify and verify business information for a specific company. _______________________________________________________________________________________. But opting out of some of these cookies may have an effect on your browsing experience. It requires importers to verify that food they import into the United States is produced in compliance with the hazard analysis and risk-based preventive controls provided in the Federal Food, Drug, and Cosmetic Act (the FD&C Act), and that imported food is not adulterated or misbranded with respect to allergens labeling. Get up-to-date industry and regulatory news from the experts delivered straight to your inbox. Necessary cookies are absolutely essential for the website to function properly. Perform suppliers’ verification. 4/ See Hogan Lovells memorandum dated April 4, 2017, FDA Guidance Affirms Use of DUNS Numbers to Identify FSVP Importer. Requirements under the preventive controls rules a specific business location option is temporary the Foreign supplier Verification Regulation. Effect on May 30 in your browser only with your consent straight to your inbox our.: Guidance for Industry Facility Registration ( Seventh Edition ): Guidance for Industry has the flexibility tailor... 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