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Food Contact Plastics Compliance: India FSSAI, EU 10/2011 & FDA Requirements

📅 March 2026⏱ 6 min read✍ The Plastic Basket Editorial
Food contact plastic compliance is one of the most heavily regulated material applications globally. Using the wrong material — or the right material without proper documentation — exposes your business to product recalls, regulatory action, and serious brand damage. This guide covers what you need to know across the three major regulatory frameworks.

The Three Major Regulatory Frameworks

FrameworkJurisdictionKey DocumentEnforcement Body
India — FSSAI regulationsIndia domestic marketFood Safety and Standards (Packaging) Regulations 2018FSSAI — state food authorities
India — BIS standardsIndia domestic marketIS 10146 (PE), IS 10142 (PP), IS 11998 (PET), IS 14182 (multilayer)BIS
EU Regulation 10/2011European UnionEU Regulation 10/2011 on plastic food contact materialsEFSA, national competent authorities
US FDA 21 CFRUnited States21 CFR 174–186 (indirect food additives)FDA
Germany BfR recommendationsGermany, widely referenced globallyBfR Recommendations XXI (polypropylene) etc.German Federal Institute for Risk Assessment

India: FSSAI Packaging Regulations

The Food Safety and Standards (Packaging) Regulations 2018 govern food contact materials in India. Key requirements: plastic materials must use only BIS-approved resins and additives (positive list approach); migration testing may be required for materials not covered by BIS standards; packaging must not transfer harmful substances to food; recycled plastic may only be used with FSSAI/CPCB authorisation for the specific recycling process. BIS certification (ISI mark) is mandatory for packaging materials falling under the relevant IS standards. Under FSSAI’s evolving guidance, multinational food companies operating in India increasingly apply EU or FDA standards as a benchmark even where not strictly required by Indian law.

Approved Plastic Materials for Food Contact

MaterialIndia (BIS/FSSAI)EU Regulation 10/2011FDA 21 CFR
PETIS 11998Listed — general use21 CFR 177.1630
PP (all types)IS 10142Listed — general use21 CFR 177.1520
HDPE/LDPE/LLDPEIS 10146Listed — general use21 CFR 177.1520
PS (GPPS, HIPS)IS 10141Listed — some restrictions21 CFR 177.1640
PVC (unplasticised)IS 12235Permitted — plasticiser-dependentPlasticiser-specific
PC (BPA-based)Limited guidanceRESTRICTED — not for infant food contactRestricted for infant use
Nylon (PA6, PA66)BIS referencedListed — specific use conditions21 CFR 177.1500
PVDCListed21 CFR 177.1950

Migration Testing: The Science of Compliance

Migration testing quantifies the transfer of chemical substances from plastic to food or food simulants under standardised conditions. Two key limits apply: Overall Migration Limit (OML) — total transfer of all substances combined must not exceed 10 mg/dm² or 60 mg/kg food equivalent; Specific Migration Limit (SML) — individual substances have their own limits based on toxicological assessment (e.g., bisphenol A SML = 0.05 mg/kg food; most restricted pigments have SML = 0).

EU 10/2011 food simulants for testing: 10% ethanol (simulant A — aqueous and acidic below pH 4.5); 3% acetic acid (simulant B — acidic food below pH 4.5); 20% ethanol (simulant C — alcoholic beverages below 20% alcohol); 50% ethanol (simulant D1 — above 20% alcohol, oil and fat-containing); Isooctane or modified polyphenylene oxide (simulant D2 — fatty food); Tenax (simulant E — dry food).

Compliance Responsibility: Food contact compliance is the legal obligation of the final converter — the company making the food contact article — not just the resin supplier. You must obtain a Declaration of Compliance (DoC) from all material suppliers AND verify it covers your specific application (food type, temperature, contact duration, single-use or repeated use). 'Our resin has food contact approval' from a supplier is not sufficient — you need a DoC covering your specific converting process and end application.

Restricted and Banned Substances

Key substances restricted or banned in food contact plastics: Bisphenol A (BPA) — banned in baby bottles in EU, USA, Canada; restricted in food contact PC applications for sensitive end-uses; Phthalate plasticisers (DEHP, DBP, BBP) — restricted in all food contact PVC applications under EU and many national regulations; Certain azo pigments — those that cleave to release listed aromatic amines are prohibited in all food and skin contact applications; Lead and cadmium stabilisers — prohibited in food contact PVC across EU and progressively in India. See our colour masterbatch guide for food-safe pigment selection guidance.

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