FDA Letter API

Visible Vapors, LLC

Letter data

Company
Visible Vapors, LLC
Recipient
Tracey Breuer and Daniel J. Breuer | Visible Vapors, LLC | United States | visiblevapors@gmail.com
Issue date
2022-05-27
Posted date
Not available
FDA office
Center for Tobacco Products
Subject
Not available
Product
Tobacco
CMS ID
616347
Reference number
RW2101617
FEI
Not available
Inspection dates
Not available

Normalized citations

21 CFR: 21-CFR-PART-114021-CFR-PART-1141

21 U.S.C.: 21-USC-301

Related FDA links

No related FDA letter link is present in the source index.

Full source text

CLOSEOUT LETTER Visible Vapors, LLC MARCS-CMS 616347 — May 27, 2022 More Warning Letters Warning Letters About Warning and Close-Out Letters Delivery Method: VIA Electronic Mail Reference #: RW2101617 Product: Tobacco Recipient: Recipient Name Tracey Breuer and Daniel J. Breuer Visible Vapors, LLC United States visiblevapors@gmail.com Issuing Office: Center for Tobacco Products United States Dear Tracy Breuer and Daniel J. Breuer: The United States Food and Drug Administration’s (FDA) Center for Tobacco Products has completed an evaluation of your corrective actions included in your responses dated August 1, 2021 and August 18, 2021 to our Warning Letter dated July 28, 2021. Based on our evaluation, it appears that you have taken steps to address the violations contained in the Warning Letter regarding your website https://www.visiblevapors.com. This letter does not relieve you or your firm from the responsibility of taking all necessary steps to ensure sustained compliance with each applicable provision of the Federal Food, Drug, and Cosmetic Act (FD&C Act) and FDA’s implementing regulations or with other relevant legal authority. Please note that if your firm is found to be in violation of the FD&C Act, 21 U.S.C. § 301 et seq., Chapter IX, relating to tobacco products including the tobacco regulations in 21 C.F.R. Parts 1140, 1141, and 1143 in the future, this may lead to regulatory action, including, but not limited to, civil money penalties, seizure, and/or injunction. Sincerely, /S/ David Rice Branch Chief Division of Promotion, Advertising, and Labeling Office of Compliance and Enforcement Center for Tobacco Products VIA Electronic Mail cc: DigitalOcean, LLC abuse@digitalocean.com GoDaddy.com, LLC abuse@godaddy.com Content current as of: 06/07/2022 Regulated Product(s) Tobacco