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Despite access to sustainable packaging alternatives such as hemp, plastic packaging remains the preferred material for packaging cannabis products. Many believe that hemp-based packaging could be a solution to the plastic problem in the cannabis industry—so why isn’t it being used more widely?
Because of state regulations, the packaging for the company’s infused tinctures, topicals, capsules and other products contains no information claiming any therapeutic effects. The policy bars cannabis companies from making any statement or reference about their products impacting consumers’ health or having “an effect on the body or mind.”
Germanys cannabis industry anxiously awaits Sundays election results to see whether progressive policies endure or face rollback under new leadership. Advertising bans and neutral packaging without branding. With 38% of voters still undecided , the outcome remains uncertain. Licensed, for-profit cultivation and manufacturing.
It’s tough to see how things will shake out, but there is a very serious chance cannabis policy reform will move in the Senate,” said Morgan Fox of the National Cannabis Industry Association. It would also reduce barriers for legal marijuana businesses to get access to banking.
Licensees, The Board yesterday adopted a fundamental re-rewrite of the Packaging and Labeling rules. Licensees will have until July 1, 2020 to bring all product packaging and labeling into compliance. The interim policy linked below will guide the implementation of the rules. Concise Explanatory Statement.
The distinction between labeling (including packaging) and advertising is not always clear. develop compliance programs to (i) ensure that their marketing efforts align with federal guidelines and (ii) ensure that their compliance team is familiar with the FDA and the FTC’s regulations to successfully implement these guidelines.
Ensure that scientific data supporting submissions are following domestic and international regulations and all relevant guidelines and policies. Perform regulatory impact assessment of CMC relevant changes to ensure continuous compliance with applicable regulations. This is what you need to be able to do. About Tilray.
Senate Democratic Leader Chuck Schumer and House Democratic Caucus Chairman Hakeem Jeffries announced their intentions to introduce legislation known as the Marijuana Freedom and Opportunity Act, to remove marijuana from the Controlled Substances Act (CSA), thus ending the nearly century-long federal policy of criminalization and prohibition.
New enhancements include the ability to request updates to certain product details, and the requirement to report changes to packaging and/or labeling. Keep in mind online features are still being enhanced to improve user experience, ensure compliance, and accommodate changes related to newly established rules or policy.
Manager, Government Affairs and Policy – ( 2200008X ). The Manager, Government Affairs and Policy, under the direction of the Director of Government Affairs and Policy, assists the government relations and policy functions of the Commission and serves as a liaison across all levels of government. Description.
At the state level, Governor Doug Burgum of North Dakota signed a package of bills into law to expand the state’s medical cannabis access program. Legislation is pending, Senate Bill 225, to amend the state’s existing industrial hemp law to be in compliance with the new federal hemp regulations. AL resident? LA resident?
Treasurer Tyler Klimas, Executive Director of the Nevada Cannabis Compliance Board, At-large board member Steve Marks, Executive Director of the Oregon Liquor and Cannabis Board. As we collectively analyze and respond to emerging issues in the cannabis industry, we will continue to be the preeminent voice in cannabis regulatory policy.”.
This hemp is often sold and marketed online without age verification, in packaging attractive to minors, or at unlicensed retail stores. I dont think Oregon can fix it The OLCC news release offers a sunny subtitle: Agency sets path forward for better compliance. The reason is that federal law and policy make it so.
The Delta-8 regulation is in a separate bill but still would impact the cannabis omnibus package. Article 11 added the line: “The Department has the authority to adopt rules and policies prohibiting the use of pesticides during the flowering stage.” Last minute changes were made to clarify that “policies” are subject to rulemaking.
Lawmakers in Connecticut have introduced a package of bills specific legalizing and regulating the use and sale of marijuana by adults and facilitating equity in the industry. Senate Bill 45 would make this policy consistent for juvenile offenders. The bill now heads to the governor’s desk. CO resident? Connecticut. HI resident?
Lawmakers in Connecticut have introduced a package of bills specific to legalizing and regulating the use and sale of marijuana by adults, and facilitating equity in the industry. Senate Bill 1353 seeks to amend the state’s existing industrial hemp law to be in compliance with the new federal hemp regulations. CO resident?
Lawmakers in Connecticut have introduced a package of bills specific legalizing and regulating the use and sale of marijuana by adults, and facilitating equity in the industry. Senate Bill 45 would make this policy consistent for juvenile offenders. The bill now heads to the governor’s desk. CO resident? Connecticut. DE resident?
This position will be responsible for ensuring compliance with securities laws, rules and regulations, including supporting the preparation and filing of Forms 8-K, 10-Q and 10-K, registration statements, annual proxy statements, organization of the annual shareholders meeting and all related filings. About Tilray. Role and Responsibilities.
Schauer comes to CANNRA with nearly two decades of work in public health and drug policy. She regularly provides consultation to state and federal agencies on the development of cannabis regulation, policy trends, and their outcomes. Schauer’s work informing and advising state and federal agencies on cannabis policy is unparalleled.
Other smaller changes also include the addition of the line, “The Department has the authority to adopt rules and policies prohibiting the use of pesticides during the flowering stage,” and “The Department of Agriculture may modify packaging requirements, including package warnings, by rule.”
.–(BUSINESS WIRE)–Cannabis compliance consulting firms Allay Consulting , iComply Cannabis , GMP Collective and TraceTrust today announced the formation of the Cannabis Compliance Alliance , a collaborative group created to put the cannabis industry on the same footing as mainstream business sectors. About Allay Consulting.
This position will assist the enforcement units in implementing consistent regulatory compliance measures for the Commonwealth’s marijuana industry. Benefits Package: The Commission is pleased to offer a comprehensive benefits package to its employees. ESSENTIAL FUNCTIONS AND RESPONSIBILITIES. 94G, M.G.L. 94G, M.G.L.
A hemp processor is any “person who takes possession of raw hemp material with the intent to modify, package, or sell a transitional hemp product.” (SB The WSDA issued a statement on hemp-CBD as a food ingredient back in August 2019 and SB 5372 does not change that policy. What is a hemp processor? SB 5372 Section 2.)
Regulatory Framework and Policy Implications The regulatory framework governing the medical marijuana industry has profound implications for businesses, consumers, and society as a whole. Policy decisions related to taxation, zoning, and advertising also impact the industry’s operations and growth trajectory.
This position will be responsible for ensuring compliance with securities laws, rules and regulations, including supporting the preparation and filing of Forms 8-K, 10-Q and 10-K, registration statements, annual proxy statements, organization of the annual shareholders meeting and all related filings. About Tilray. Role and Responsibilities.
Reporting to a Program Specialist 3 (Cannabis), the Program Specialist 2 (Cannabis) positions will be responsible for overseeing and participating in inspecting, auditing, and performing a full range of compliance duties for the region assigned (Albany/Buffalo/NYC).
In Part 1 of this two-part series we discussed the Washington State Liquor and Cannabis Board’s (“LCB”) proposed rules stemming from SB 5318, which passed last year and forced the LCB to transition from an enforcement-first policy to a compliance-first policy when handling violations. Category V.
Illegal edibles have misleading packaging that can be confusing to kids and parents. They are easy to spot with their bright colors and easy-to-open packaging. In the legal market, licensed brands are limited to 10 mg of THC per package, can’t use colors, characters, or branding that could be remotely alluring to kids.
The seller should attach to each delivery a copy of a certificate of analysis (“COA”) from a licensed third-party lab that show compliance with this testing requirement. 3. Packaging & Labeling. 4. Representations and Warranties.
With hemp already federally legal, a primary policy issue is how marijuana and hemp—two varieties of the cannabis plant—would be distinguished under a federal regulatory regime. We strongly encourage participation in this important opportunity to shape federal cannabis policy. Distinction between Cannabis and Hemp Under the CAOA.
Our primary areas of practice include business litigation, business formation, transactional law, and regulatory compliance, including a heavy volume of cannabis regulatory matters. Candidate should have a strong academic background as well as skill and interest in research, regulatory issues, and policy. Job Type: Full-time.
Federal law requires that taxpayers must report income from illegal sources – including cannabis sales (whether state sanctioned or not) – raising numerous tax compliance and design issues. The lawful cannabis industry faces numerous regulatory hurdles that makes even good-faith compliance with the law a challenge. Introduction.
1, 2020 Effective Date for All Marijuana Products, Packaging and Labeling. 1, 2020 Effective Date for All Marijuana Products, Packaging and Labeling. On January 9, 2019 the Board approved a motion to make the effective date for all marijuana product, packaging and labeling requirements Jan 1, 2020. Board Approves Jan.
The Department developed and received approval for eight regulatory packages that, among many things, expand support for equity applicants and licensees and lowers barriers for businesses to attain and maintain licenses. Launched CannaConnect , a one-stop shop on DCC’s website to help licensees stay in compliance.
The Special Committee was appointed in July 2019 to investigate the circumstances surrounding the Company’s receipt of non-compliance reports from Health Canada, to both provide oversight for the development and execution of the Company’s remediation plan and review strategic alternatives. Default Status Report.
This position will assist the enforcement units in implementing consistent regulatory compliance measures for the Commonwealth’s marijuana industry. ESSENTIAL FUNCTIONS AND RESPONSIBILITIES. ESSENTIAL FUNCTIONS AND RESPONSIBILITIES. 94G, M.G.L. 94G, M.G.L. 94G, M.G.L. EDUCATION AND EXPERIENCE.
We wrote about this topic recently , and quoted both a USPS policy statement and an administrative court ruling that hemp and hemp extracts are mailable commodities. Most importantly, the USPS’s updated policy acknowledges the legal status of hemp produced in accordance with the 2018 Farm Bill and the 2014 Farm Act Pilot Programs.
The featured speakers included, Danica Hibpshman, OLCC Director of Licensing, Madeleine Cane, OLCC Marijuana Program Coordinator, Anthony Geltosky, OLCC’s only Packaging and Labeling Specialist, Sunny Summers, ODA Hemp Policy Coordinator, Marry Anne Cooper, Oregon Farm Bureau and Ken Helm, State Representative.
Governor Newsom signed AB-195 into law, which came with sweeping changes specific to the cannabis sector — including changes to cannabis tax & relief, compliance, and oversight. IHEO Authorization is required to manufacture, package, or hold these commodities. Equity operators are also eligible for rebates under the new law. .
Manage compliance to global, regional and local processes, policies, SOPs and working instructions. Strong knowledge of European drug laws, regulations, guidelines and policies, and the European Health Authority organizational structure and processes for the review and approval of drug submissions is required.
Latest study designed to encourage sensible policy development. Oregon’s Public Policy Approach to Support Legal Marijuana Production and the State’s Abundant Supply: The Course for Seeking the Right Balance. Oversupply is seen as a positive as it indicated incorporation of grey & black markets. State has 2,100 licensees.
The best protective measure a company can take is to conduct its own internal investigation or, at a minimum, a compliance review. So it begins with policing your own company by reviewing the key components for compliance. How Can You Protect Against or Prepare for a State Investigation? How do you do that?
The best protective measure a company can take is to conduct its own internal investigation or, at a minimum, a compliance review. So it begins with policing your own company by reviewing the key components for compliance. How Can You Protect Against or Prepare for a State Investigation? How do you do that?
The best protective measure a company can take is to conduct its own internal investigation or, at a minimum, a compliance review. So it begins with policing your own company by reviewing the key components for compliance. How Can You Protect Against or Prepare for a State Investigation? How do you do that?
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