There are many products on the market that want to promote "no sucrose" or "no added sucrose." It is considered that such claims are more likely to be favored by consumers. Are there any regulations for âno sucroseâ or âno added sucroseâ in Chinese food labels? What are the risks?
Many products that want to make this claim are generally the following: If the product does not contain sucrose, can it be declared "no sucrose" or "no added sucrose"? If there is no sucrose in the product ingredients, and the other ingredients added have natural sweetness/sugar, the sucrose in the product can be detected (the amount detected is very low), which can claim âno sucroseâ or âno added sucroseâ ?
Global Foodmate made the following analysis for the above situation for your reference.
1. Can you declare "no sucrose" or "no added sucrose"?
(1) What are the relevant standards?
Q&A (General Regulations for Nutrition Labelling of Prepackaged Foods) (GB 28050-2011) Article 58: Content Claims: The content claims of this standard refer to claims that describe the level of energy or nutrients in foods, such as â Contains terms such as "," "high," "low," or "none." The nutrients listed in Table C.1 of Appendix C can be claimed and should meet the requirements. âSucroseâ is not included in the nutrient range listed in Table C.1 of Appendix C, so it is not recommended to claim âno sucroseâ. In addition, according to some popular science articles by domestic experts, it is claimed that no sugar is a concept of sugar-free, and it is not good for the brand image.
(2) Trends in national regulation: The new GB7718 consultation draft clearly stipulates that the pre-packaged food label must not use wordings such as âdo not addâ or âdo not useâ for all ingredients. If it is specified in other laws, regulations or national food safety standards, it shall be prescribed. Therefore it is not recommended to claim âno added sucroseâ.
(3) Relevant litigation cases: There are many cases of counterfeiting in China that claim âno sugarâ and âno added sugarâ. The claim is a key concern of the counterfeiters. If it claims that there is a big risk, it will bring great Economic loss.
2. Global Foodmate recommendations
Regardless of whether the product contains no sucrose or the sucrose is 0, it is not recommended to declare âno sucroseâ or âno sucrose addedâ. If you want to make some positive related claims, the proposal can claim "low sugar", provided that it meets the requirements of "low sugar" in GB 28050.
3. About label service
Global Foodmate capitalizes on more than 18 years of combined exclusive dedication to global food regulation. As a leading China food regulatory consulting company, with strong consulting team we provided our global clients professional consulting service in China and foreign countries.
For now, our product compliance consultation service scope covers Asia countries(China, Hong Kong, Taiwan, Japan, South Korea), ASEAN countries, EU countries, Australia, New Zealand, Switzerland where we could provide formulation compliance, specification review, label review and translation, regulation summary related to the import/export of products to a country base on your requirement.
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