MoCRA, PFAS, Prohibited Ingredients, Conscientious Corporate Citizenship and More

This U.S. regulatory update discusses upcoming MoCRA implementations and how to navigate them. It also covers PFAS and ingredient prohibitions, environmental claims, packaging issues, product claims/misbranding and extended producer responsibilities.
This U.S. regulatory update discusses upcoming MoCRA implementations and how to navigate them. It also covers PFAS and ingredient prohibitions, environmental claims, packaging issues, product claims/misbranding and extended producer responsibilities.
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Most companies that market cosmetics intend to be conscientious compliant corporate citizens. Doing so is becoming increasingly difficult, as the number of compliance issues to track, understand and implement are rapidly increasing. This column briefly outlines a variety of current concerns for cosmetic companies marketing products in the U.S. – from PFAS and environmental claims, to packaging issues and more. It also provides suggested plans of action, including for companies to prepare for the upcoming changes mandated by the Modernization of Cosmetics Regulation Act of 2022 (MoCRA).1

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