
CRN submits supplemental comments to 2023 citizen petition urging FDA to “reconsider” its position on drug preclusion
In the supplemental submission CRN urged FDA to reexamine and correct its interpretation of the drug preclusion clause rather than provide justification for its interpretation
On March 9, 2025, The Council for Responsible Nutrition (CRN; Washington, D.C.) submitted supplemental comments to its May 9, 2023
The agency has not yet addressed the concerns expressed in CRN’s original submission, instead issuing an
CRN also urged FDA to not consider enforcement discretion a satisfactory resolution of the drug preclusion interpretation issue as it did with NAC as it does not provide any predictability and there remains uncertainty about NAC’s legal status. “The drug preclusion matter will be solved only with a clear roadmap from FDA on how it interprets section 201(ff)(3)(B) going forward—or a legislative solution to amend the law if FDA fails to provide that clarity,” wrote CRN.
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