Would Health Canada's pest-management, medical-device or another programme assess the proposed use?
Last reviewed: .
Would Health Canada's pest-management, medical-device or another programme assess the proposed use?
The company publishes no position under any Canadian programme.
The position is set out in two documents. Under United States law, the Statement of Classification, issued by NF Technical Products Inc., classifies the NanoFlashing™ Air Filter as a device under Section 2(h) of the Federal Insecticide, Fungicide, and Rodenticide Act, 7 U.S.C. § 136(h), and 40 C.F.R. § 152.500(a), and a device is not required to be registered under FIFRA section 3. The requirements that apply instead are labelling; establishment registration and reporting; books and records; inspection of establishments; violations, enforcement and penalties; import and export; child-resistant packaging; and the Agency's authority under FIFRA section 25(c)(4). Under Regulation (EU) No 528/2012, the Statement of Regulatory Status, issued by C-POLAR Technologies, Inc., classifies the filter as neither a biocidal product nor a treated article. Neither document addresses the law of any other country. No authority has approved, registered or endorsed the filter; the company classifies its own article. Enquiries from a Canadian importer go to [email protected].
Source: Statement of Classification for the NanoFlashing™ Air Filter, NF Technical Products Inc., and Statement of Regulatory Status for the NanoFlashing™ Air Filter, C-POLAR Technologies, Inc., 11 September 2026. C-POLAR — Contact (https://cpolar.tech/contact/).
Reviewed on .
Sources
- Statement of Classification for the NanoFlashing™ Air Filter, NF Technical Products Inc.
- Statement of Regulatory Status for the NanoFlashing™ Air Filter, C-POLAR Technologies, Inc., 11 September 2026
- C-POLAR — Contact