← すべてのレポートFood & Health2026-06-03 · 6 分で読了
Exporting Food & Health Products to China — 2026 Compliance Brief
エグゼクティブサマリー
China import compliance for food, supplements and health products is a sequence of gates — GACC registration, label pre-approval, and (for health functional foods) the blue-hat registration or filing path. Miss the order and product sits at the border. We lay out the realistic timeline and the steps overseas exporters underestimate.
Executive view
Most overseas food and health exporters lose time not at the factory but at the border — because compliance is a sequence, and they start it too late. The product itself is rarely the problem; the registration and labeling order is.
The gates, in order
- GACC overseas facility registration — the producing facility must be registered with China customs before product can clear. This is upstream of everything else.
- GB standard conformity — the product must conform to the relevant national food safety standards, including additives and contaminant limits.
- Chinese label pre-compliance — labels must meet Chinese labeling rules; this is a frequent rejection point.
- Health functional food path — products making health claims need either the registration ("blue hat") or the filing route, which is a project in its own right.
What exporters underestimate
- The lead time of facility registration relative to a launch date.
- That a compliant Western label is not a compliant Chi
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出典
GACC (overseas facility registration)SAMR (labeling)National food safety standards (GB)