Four produce importers were issued Warning Letters from FDA for issues with the FSVP.
Did not develop an FSVP for any of the foods you import, including each of the following foods:
Enoki Mushroom imported from (b)(4);
King Oyster Mushroom imported from (b)(4);
Enoki Mushroom imported from (b)(4).
Paso Real Produce LLC of Pharr, TX
Did not develop an FSVP for any of the foods you import, including each of the following:
Avocados imported from (b)(4) located in (b)(4)
Limes imported from (b)(4) located in (b)(4)
Limes imported from (b)(4) located in (b)(4)
Limes imported from (b)(4) located in (b)(4)
did not develop an FSVP for any of the foods that you import, including each of the following foods:
Persian limes imported from (b)(4), located in (b)(4)
Rambutan imported from (b)(4), located in (b)(4)
Thai banana imported from (b)(4), located in (b)(4)
Green Day Produce, Inc. of Vernon, CA
did not evaluate your foreign suppliers of covered produce for compliance with the Produce Safety Rule (PSR), 21 CFR part 112. During our inspection, you provided FSVPs for your seafood mushrooms and oyster mushrooms imported from (b)(4) and for your (b)(4) mangos imported from (b)(4). Seafood mushrooms, oyster mushrooms, and mangos are “covered produce” as defined in 21 CFR 112.3, and therefore must comply with FDA’s Standards for Growing, Harvesting, Packing and Holding of Produce for Human Consumption (Food Safety Modernization Act (FSMA) Produce Safety Rule) regulation.
Items noted
Seafood Mushrooms imported from (b)(4)
Oyster Mushrooms imported from (b)(4)
Taiwanese Mangos imported from (b)(4)
https://www.fda.gov/inspections-compliance-enforcement-and-criminal-investigations/warning-letters/future-best-trading-inc-689940-10102024
Future Best Trading Inc.
MARCS-CMS 689940 — October 10, 2024