Does a Thai food-contact application need a separate review from an air-filter import?
Last reviewed: .
Does a Thai food-contact application need a separate review from an air-filter import?
Food packaging is a Research Application on this site, and an air filter and a food-contact material are different articles.
The company sets out its position under United States law and under Regulation (EU) No 528/2012, and under no other country's law. Under United States law the company 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). Under Regulation (EU) No 528/2012 the company classifies the filter as neither a biocidal product nor a treated article. No authority has approved, registered, cleared or endorsed the filter. The company classifies its own article. The Terms of Use state that, as of their effective date, the Water, Textiles, Food packaging, and Medical devices chapters describe Research Applications, and that they do not describe finished products currently available from C-POLAR for those uses. The company publishes no food-contact evidence and no position under Thai law.
Source: Statement of Classification for the NanoFlashing™ Air Filter, sections 3.7 and 4.1, issued by NF Technical Products Inc.; Statement of Regulatory Status for the NanoFlashing™ Air Filter, sections 3.7, 5.1 and 5.2, C-POLAR Technologies, Inc., 11 September 2026; C-POLAR — Terms of Use, section 4, https://cpolar.tech/terms/.
Reviewed on .
Sources
- Statement of Classification for the NanoFlashing™ Air Filter, section 3.7, issued by NF Technical Products Inc.
- Statement of Regulatory Status for the NanoFlashing™ Air Filter, section 3.7, C-POLAR Technologies, Inc., 11 September 2026
- C-POLAR — Terms of Use, section 4
- C-POLAR — NanoFlashing™ Food