FDA Letter API

Greenworld Food Express LLC

Letter data

Company
Greenworld Food Express LLC
Recipient
Mr. Bashir Harb | Owner | Greenworld Food Express LLC | 27165 Wick Rd | Taylor | , | MI | 48180-3016 | United States | Marwa.harb@greenworld.ca
Issue date
2026-04-24
Posted date
2026-05-05
FDA office
Office of Inspections and Investigations
Subject
Foreign Supplier Verification Program (FSVP)
Product
Food & Beverages
CMS ID
728188
Reference number
Not available
FEI
3033575856
Inspection dates
Not available

Normalized citations

21 CFR: 21-CFR-1.502(a)21-CFR-PART-1

21 U.S.C.: 21-USC-331(zz)21-USC-381(a)(3)21-USC-384

Related FDA links

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

Full source text

WARNING LETTER Greenworld Food Express LLC MARCS-CMS 728188 — April 24, 2026 More Warning Letters Warning Letters About Warning and Close-Out Letters Delivery Method: VIA EMAIL AND UNITED PARCEL SERVICE Product: Food & Beverages Recipient: Recipient Name Mr. Bashir Harb Recipient Title Owner Greenworld Food Express LLC 27165 Wick Rd Taylor , MI 48180-3016 United States Marwa.harb@greenworld.ca Issuing Office: Office of Inspections and Investigations United States April 24, 2026 WARNING LETTER Re: CMS 728188 Dear Mr. Harb On April 2, 2026, the Food and Drug Administration (FDA) conducted a Foreign Supplier Verification Program (FSVP) inspection of Greenworld Food Express (USA) LLC located at 27165 Wick Rd, Taylor, MI 48180-3016. This inspection was conducted to determine compliance with the requirements of section 805 of the Federal Food, Drug, and Cosmetic Act (FD&C Act) (21 U.S.C. 384a) and the implementing FSVP regulation in 21 CFR part 1, subpart L. The FSVP regulation requires that importers perform certain risk-based activities to verify that human and/or animal food they import into the United States has been produced in a manner that meets applicable U.S. food safety standards. You may find information relating to the FSVP regulation and your responsibilities to comply with the regulation through links in FDA’s FSVP web page at https://www.fda.gov/food/food-safety-modernization-act-fsma/fsma-final-rule-foreign-supplier-verification-programs-fsvp-importers-food-humans-and-animals. During the most recent inspection, we found that you are not in compliance with the requirements of 21 CFR part 1, subpart L for foods you import. Because of these significant violations, you are not in compliance with section 805 of the FD&C Act. At the conclusion of the inspection, our investigator provided you with a Form FDA 483a FSVP Observations. We acknowledge receipt of your response, dated 04/07/2026 in which you stated that you will need the maximum time allowed to have the FSVP program completed and in compliance. We are unable to evaluate the adequacy of your response because you have not provided any supporting documentation demonstrating your corrective actions. Your significant violations of the FSVP regulation are as follows: You did not develop, maintain, and follow an FSVP as required by section 805 of the FD&C Act and 21 CFR 1.502(a). Specifically, you did not develop an FSVP for any of the foods you import, including each of the following foods: Halwa Pistachio imported from (b)(4) Royal Zaatar imported from (b)(4) Tahini imported from (b)(4) The above violations are not intended to be an all-inclusive list of violations of the FSVP requirements. It is your responsibility to ensure that you are in compliance with section 805 of the FD&C Act and the implementing regulation in 21 CFR part 1, subpart L. This letter notifies you of our concerns and provides you an opportunity to address them. If you do not adequately address this matter, we may take further action. For instance, we may take action under section 801(a)(3) of the FD&C Act (21 U.S.C. 381(a)(3)) to refuse admission of the food you import for which you appear to be in violation of section 805. We may place the foods you import into the United States on detention without physical examination (DWPE) when you import the foods. You can find DWPE information relating to FSVP in Import Alert # 99-41 at http://www.accessdata.fda.gov/cms_ia/ialist.html. In addition, the importation or offering for importation into the United States of an article of food without the importer having an FSVP that meets the requirements of section 805 of the FD&C Act or the FSVP regulation is prohibited under section 301(zz) of the FD&C Act (21 U.S.C. 331(zz)). You should respond in writing within fifteen (15) working days from your receipt of this letter. Your response should address the specific things you are doing to correct any violations. You should include in your response documentation and information that would assist us in evaluating your corrections (e.g., documentation of changes you made, such as a copy of your FSVP, records to demonstrate implementation of your FSVP), and any additional information that you wish to supply relevant to your compliance with the FSVP regulation. If you believe that you are not in violation of the FD&C Act, include your reasoning and any supporting information for our consideration. If you cannot complete all corrections within 15 working days, you should explain the reason for your delay and state when you will correct any remaining violations. Please send your reply to: Food and Drug Administration Attention: Joseph DiNardo, Compliance Officer 622 Main St, Suite 100 Buffalo, NY 14202 If you have any questions regarding this letter, or wish to send your response electronically, you may contact Joseph DiNardo via email at joseph.dinardo@fda.hhs.gov. Please reference CMS #728188 on any documents or records you provide to us and on the subject line of any email correspondence you send to us. Sincerely, /S/ Michael Giammanco Acting Program Division Director Division of Northern Border Imports Cc: Miss Marwa Harb Greenworld Food Express (USA) LLC 27165 Wick Rd Taylor, MI 48180-3016 marwa.harb@greenworld.ca FEI 3033575856 Content current as of: 05/05/2026 Regulated Product(s) Food & Beverages