YOLO TOBACCO LLC owns the Electronic Cigarette Retailer license for YOLO TOBACCO LLC in SEAGOVILLE Texas

YOLO TOBACCO LLC owns the Electronic Cigarette Retailer license for YOLO TOBACCO LLC in SEAGOVILLE Texas

This is a listing of public information about active Electronic Cigarette Retailer Licenses in Texas as of 10/23/2022

Texas Smoke Shops are known to carry an assortment of cannabis derived products like Delta 8 and 10 products, as well as THC O, THC P, and several other synthetic cannabinoids not often found in bulk in cannabis concentrates.

*Disclaimer* Not all Smoke Shops sell cigarette / tobacco products, and NOT all cigarette / tobacco stores sell Smoke Shop type products. This is a list of active Electronic Cigarette Retailer Licenses in Texas as of 10/23/2022

Taxpayer Name YOLO TOBACCO LLC owns the Electronic Cigarette Retailer license for YOLO TOBACCO LLC which is location number 1, with the taxpayer ID of 32085592486 in DALLAS County

with the address of
611 N HIGHWAY 175 STE 101
SEAGOVILLE, TX 75159+1832

with a Electronic Cigarette Retailer permit #22010857 which began on 10/01/2022

In March 2020, FDA finalized the “Required Warnings for Cigarette Packages and Advertisements” rule, establishing 11 new cigarette health warnings, consisting of textual warning statements accompanied by color graphics, in the form of concordant photorealistic images, depicting the negative health consequences of cigarette smoking. These new required warnings depict some of the lesser-known, but serious health risks of smoking.

FDA has also published the “Required Warnings for Cigarette Packages and Advertisements – Small Entity Compliance Guide” to help small businesses understand and comply with the final rule.

Effective Date of Final Rule

On August 10, 2022, the U.S. District Court for the Eastern District of Texas issued an order in the case of R.J. Reynolds Tobacco Co. et al. v. United States Food and Drug Administration et al., No. 6:20-cv-00176, to further postpone the effective date of the “Required Warnings for Cigarette Packages and Advertisements” final rule. The new effective date of the final rule is October 6, 2023. Pursuant to the court order, any obligation to comply with a deadline tied to the effective date is similarly postponed. However, FDA strongly encourages entities to submit cigarette plans (as required by 21 CFR 1141.10(g)) as soon as possible, and no later than December 7, 2022.

https://www.fda.gov/tobacco-products/labeling-and-warning-statements-tobacco-products/cigarette-labeling-and-health-warning-requirements

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