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  5. Acacia rigidula in Dietary Supplements
  1. Information on Select Dietary Supplement Ingredients and Other Substances

Acacia rigidula in Dietary Supplements

Acacia rigidula is declared as a dietary ingredient on the labeling of some dietary supplements. Under existing law, a “new dietary ingredient” is a dietary ingredient that was not marketed in the United States before October 15, 1994. The FDA is not aware of any information demonstrating that A. rigidula was lawfully marketed as a dietary ingredient in the United States before this date. As a result, A. rigidula is a new dietary ingredient, and dietary supplements that contain A. rigidula must, among other requirements, satisfy one of the following:

  1. A. rigidula, and all other new dietary ingredients in the product, must have been present in the food supply as an article used in food in a form in which the food has not been chemically altered; or
  2. There must be a history of use or other evidence of safety establishing that A. rigidula, when used under the conditions recommended or suggested in the product labeling, will reasonably be expected to be safe; and at least 75 days before the product is introduced or delivered for introduction into interstate commerce, the manufacturer or distributor must notify the FDA of the basis on which the manufacturer or distributor has concluded that a dietary supplement containing A. rigidula will reasonably be expected to be safe.
  3.  

Because neither of these conditions has been met by those marketing products that contain A. rigidula as a dietary ingredient, these products are deemed to be adulterated.

Acacia rigidula is also known as:

  • Vachellia rigidula
  • Chaparro Prieto
  • Blackbrush

For More Information:


This webpage describes FDA’s views and recent actions with regard to an ingredient used in products marketed as dietary supplements.  If you have evidence that calls FDA’s views into question, we invite you to submit it, along with your reasoning, to FDA at ODSP@fda.hhs.gov.

This page is not intended to provide a complete list of all FDA actions and communications with regard to this ingredient and its use in products marketed as dietary supplements.

 
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