On July 15, 2025, WLF filed a public comment opposing the FDA’s proposed rule mandating interpretive front-of-package nutrition labeling. WLF argues that the rule is constitutionally flawed, legally baseless, and procedurally unsound. It violates the First Amendment, exceeds the FDA’s statutory authority, and usurps Congress’s role in setting national policy. The rulemaking process also suffers from serious procedural flaws that violate the Administrative Procedure Act.

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WLF comment