”The New York State does not check or approve this product; The FDA has not analyzed it. There is little information on the effects of using this product. Keep out of reach of children. "
CBD also covers reporting, approved extraction methods and hemp procurement. Under the CBD agreement, the department may eventually require registration from Hemp-CBD.
Recently I wrote from the station reported by the FDA that hemp CBD is not a food supplement. In this case, the position of the department is against the FDA. The following CBD language requires research partners to recognize FDA status:
The research partner represents that it has applied for any legal or other advice it believes appropriate, and does not trust that the department accepts its research application or any other title statement or behavior in the assessment of the research partner. all legal or other risks to which the research partner may be exposed in the implementation of the project, including without limitation the FDA's role in CBD and food supplements
CBD processors in New York must be carefully monitored. For CBD processors in other countries who want to sell products in New York, the facility's position makes things a little more complicated. For example, the FDA has different standards for cosmetic products. CBD processors may want to claim that they are selling a CBD cosmetic that is not a nutritional supplement. However, if this CBD cosmetic product is sold in New York, it must be provided with a dietary supplement. This may mean that a CBD cosmetic distributor may need to avoid New York or introduce labeling and manufacturing requirements as if the product were a food supplement.
Although it may be difficult to comply with the provisions of this section, the FAQs and the CBD will at least provide guidance. If you want to sell Hemp-CBD in New York, it must be sold as a diet supplement at least for the time being.