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1. What this review is
The Food Import Second Opinion Review is a written, independent assessment of an existing plan to import food products into China.
It is designed for situations where you already have:
- A proposed food import pathway (general trade or CBEC)
- A regulatory or service-provider recommendation
- An internal or third-party execution plan
This review focuses on regulatory positioning, structural feasibility, and compliance risk exposure, based strictly on publicly available rules and regulatory logic.
2. What this review is NOT
This review is not:
- An execution or filing service
- A substitute for laboratory testing or official approvals
- A step-by-step operational manual
- A guarantee of customs clearance or market entry
No ingredient approval, testing coordination, or authority communication is included.
3. How this review works
This review is conducted asynchronously and entirely in writing.
Process:
- You submit written background information and available materials
- The review is conducted based on public regulations and compliance logic
- A written Second Opinion summary is delivered
There are no live calls or real-time discussions required.
4. What you need to prepare
To request a Food Import Second Opinion Review, please be prepared to provide:
- A brief description of the food product(s)
- Intended import pathway (general trade or CBEC)
- Product positioning and target consumer market
- Expected scale and timeline
- Ingredient list and product category (if available)
- Your primary concern or uncertainty
All materials should be submitted in writing.
5. Request a Second Opinion
If you believe a Second Opinion Review may be appropriate, please proceed via the link below.
5.1 Before you submit (2β3 minutes)
This review focuses on food import feasibility and regulatory risk under China food supervision rules.
Please describe the product as it exists today, not how it may change later.
5.2 Field guidance
- Company / Brand Name
- Country / Region
- Product Description
- Product Category (client wording)
- Proposed Entry Path
- Current Plan or Advice Received
- Primary Concern / Question
- Timeline Sensitivity
- Supporting Documents (optional)
Brand or entity responsible for food import activity.
Manufacturing country and exporting country.
Ingredients, form, intended consumption, and target consumer.
Your internal food category or commercial positioning.
General Trade or CBEC (if considered).
Any regulatory, broker, or platform advice already received.
The main uncertainty around compliance, eligibility, or feasibility.
Target import date or commercial deadline.
Ingredient list, label draft, product brochure, or prior feedback.
5.3 What happens after submission
You will receive a written Second Opinion focused on food classification logic, key compliance risks, and decision implications under public rules.