FDA Letter API

IndulgeRx Brands, Inc

Letter data

Company
IndulgeRx Brands, Inc
Recipient
Mr. John Hastings | Founder and CEO | IndulgeRx Brands, Inc | 1273 S 1800 W, Unit 13 | Woods Cross | , | UT | 84087-2551 | United States | jhastings@fightbackfoods.com
Issue date
2025-11-21
Posted date
Not available
FDA office
Human Foods Program
Subject
Not available
Product
Food & Beverages
CMS ID
703668
Reference number
Not available
FEI
Not available
Inspection dates
Not available

Normalized citations

21 CFR: None found

21 U.S.C.: None found

Related FDA links

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

Full source text

CLOSEOUT LETTER IndulgeRx Brands, Inc MARCS-CMS 703668 — November 21, 2025 More Warning Letters Warning Letters About Warning and Close-Out Letters Delivery Method: Via Email with Confirmation of Delivery Product: Food & Beverages Recipient: Recipient Name Mr. John Hastings Recipient Title Founder and CEO IndulgeRx Brands, Inc 1273 S 1800 W, Unit 13 Woods Cross , UT 84087-2551 United States jhastings@fightbackfoods.com Issuing Office: Human Foods Program United States Secondary Issuing Offices United States Dear Mr. Hastings: The Food and Drug Administration has completed an evaluation of your firm’s corrective actions in response to our Warning Letter CMS 703668, dated June 16, 2025. Based on our evaluation, it appears that you have addressed the violations contained in this Warning Letter. Future FDA inspections and regulatory activities will further assess the adequacy and sustainability of these corrections. We note that with your submitted corrective actions, you included product labeling for review. Please note that our program experts do not provide product label approval. We offer the following comments for your consideration: We recommend clarifying the saturated fat statement to provide greater transparency and help consumers understand that your product meets FDA healthy claim requirements while avoiding potential misinterpretation about the actual saturated fat content. The current labeling states "HEALTHY* NO MORE THAN 1g SAT FAT (Nuts are Exempt*)" while your product appears to contain more than 1g of saturated fat. You may want to consider alternative statements that emphasize that your product meets “Healthy” claim criteria for Saturated Fat or that clarify at the top of your labels that the product meets FDA “Healthy” claim requirements to establish clear context that references the healthy claim criteria. This letter does not relieve you or your firm from the responsibility of taking all necessary steps to assure sustained compliance with the Federal Food, Drug, and Cosmetic Act and its implementing regulations or with other relevant legal authority. The Agency expects you and your firm to maintain compliance and will continue to monitor your state of compliance. This letter will not preclude any future regulatory action should violations be observed during a subsequent inspection or through other means. Sincerely, /S/ Branch Chief Division of Critical Foods Labeling and Dietary Supplement Enforcement Critical Foods and Labeling Enforcement Branch Office of Compliance and Enforcement Human Foods Program Content current as of: 12/01/2025 Regulated Product(s) Food & Beverages