Therapeutic Goods and Medicinal Products: Another ‘Checkmate’ for Fluoridation


On August 12, 2013, we wrote an addendum to our main post, quoting the TGA (Australia), as follows:

“How a product is presented can help to determine whether it will be treated as a food or a medicine. For example a clove of garlic is a food. However, if it is concentrated and marketed in capsule form with claims that it can be used to relieve cold and ‘flu symptoms it will be treated as a medicine. A product’s principal use is of primary consideration when determining whether it is a food or a medicine”.

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One comment on “Therapeutic Goods and Medicinal Products: Another ‘Checkmate’ for Fluoridation

  1. Hi Daniel

    this is just like this info about the FDA sending out a WARNING LETTER:

    Dear Mr. Mendes:

    The Food and Drug Administration (FDA) has reviewed the label for your “Diamond of California Shelled Walnuts” products and your website at http://www.diamondnuts.com. Based on our review, we have concluded that your walnut products are in violation of the Federal Food, Drug, and Cosmetic Act (the Act) and the applicable regulations in Title 21, Code of Federal Regulations (21 CFR). You can find copies of the Act and these regulations through links in FDA’s home page at http://www.fda.gov.

    http://www.fda.gov/iceci/enforcementactions/warningletters/ucm202825.htm

    MORONS!

    Cheers mate

    >– Original Message — >

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