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EZdrinking

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  1. On March 27, 2020, President Trump signed into law the CARES Act, which provided additional assistance for small business owners and non-profits, including the opportunity to get up to a $10,000 Advance on an Economic Injury Disaster Loan (EIDL). This Advance may be available even if your EIDL application was declined or is still pending, and will be forgiven. If you wish to apply for the Advance on your EIDL, please visit www.SBA.gov/Disaster as soon as possible to fill out a new, streamlined application. In order to qualify for the Advance, you need to submit this new application even if you previously submitted an EIDL application. Applying for the Advance will not impact the status or slow your existing application.
  2. For anyone looking to apply for SBA Disaster Loan Assistance you can do so here via this .gov website https://disasterloan.sba.gov/ela/
  3. This update was also added to the other discussion thread.
  4. ADI does not administer the DISCUS website or its content. Any concerns about the DISCUS resource page should be directed to them.
  5. Part A provides a practical guide for use at the pharmacy bench during the actual preparation of the formulation. Users may want to display the material on the wall of the production unit. Part B summarizes some essential background technical information and is taken from WHO Guidelines on Hand Hygiene in Health Care (2009). Within Part B the user has access to important safety and cost information and supplementary material relating to dispensers and distribution. WHO_Guide_to_Local_Production.pdf
  6. TTB Public Guidance Production of Hand Sanitizer to Address the COVID-19 Pandemic March 26, 2020 TTB G 2020-1A Summary Tax-free ethanol may be used to produce hand sanitizer if it is denatured according to TTB regulations and Food and Drug Administration (FDA) guidance. Alcohol, whether or not denatured, may be delivered tax-free to state and local governments for non-beverage purposes. The same is true for hospitals, blood banks, sanitariums, certain pathological laboratories, non-profit clinics, and qualifying educational institutions, if not for resale or use in the manufacture of any product for sale. TTB is temporarily waiving certain formula approvals for the manufacture of hand sanitizer using and expediting certain permit requirements. Purpose On March 18, 2020, to facilitate the production of hand sanitizer, TTB temporarily relieved distilled spirits permittees of certain requirements related to the use of alcohol for this nonbeverage purpose (see TTB G 2020-1 “Production of Hand Sanitizer to Address the COVID-19 Pandemic”). TTB exempted permittees from obtaining formula approval from TTB before producing hand sanitizer if using a formula consistent with World Health Organization (WHO) guidance. Ethanol is one of the approved reagents in the WHO guidance. TTB’s March 18 authorization referred to both denatured and undenatured ethanol. However, on March 23, 2020, the FDA issued guidance which specifies the use of denaturants when compounding ethanol-based hand sanitizers. See Temporary Policy for Preparation of Certain Alcohol-Based Hand Sanitizer Products During the Public Health Emergency (COVID-19). TTB is therefore providing this guidance to (1) supersede its prior guidance with regard to the authorized formula to be consistent with FDA guidance; (2) exempt distilled spirits plants (DSPs) from the requirements to request approval from TTB to receive denatured or undenatured distilled spirits in bond from another DSP and to obtain additional bond coverage, through June 30, 2020; (3) provide guidance and certain exemptions from requirements for state and local governments wishing to obtain tax-free alcohol, and (4) offer hospitals, blood banks, sanitariums, certain pathological laboratories, non-profit clinics, and qualifying educational institutions the same streamlined application process. This guidance also restates the provisions of TTB G 2020-1 that remain unchanged. Guidance Due to the Coronavirus 2019 (COVID-19) pandemic, the Acting Administrator of the Alcohol and Tobacco Tax and Trade Bureau (TTB) has found it desirable to waive provisions of internal revenue law with regard to distilled spirits, and therefore is providing certain exemptions and authorizations to distilled spirits permittees who wish to produce ethanol-based hand sanitizers to address the demand for such products during this emergency. Any existing DSP therefore can immediately commence production of hand sanitizer or distilled spirits (ethanol) for use in hand sanitizer, as described below, without having to first obtain authorization. Any existing DSP also may remove undenatured or denatured ethanol from bonded premises free of tax for use by any state or local government to produce hand sanitizer. In addition, any existing DSP may remove undenatured or denatured ethanol from bonded premises free of tax for use by hospitals, blood banks, sanitariums, certain pathological laboratories, non-profit clinics, and qualifying educational institutions seeking to use it to manufacture hand sanitizer, and not for resale or use in the manufacture of any product for sale. See 26 U.S.C. 5214(a)(3). These measures are generally authorized under authorities that apply in disaster situations, and as a result, are initially approved through June 30, 2020, with the possibility for extension as necessary. Although TTB is exempting industry members from certain tax requirements through this guidance, industry members must continue to comply with other federal and state law, and industry members should contact relevant federal or state agencies with questions about guidance issued by those agencies. Permit guidance for alcohol fuel plants (AFPs) and beverage DSPs: TTB is exempting AFPs and beverage DSPs from the requirement to obtain additional permits or bonds to manufacture hand sanitizer or to supply ethanol for use in the manufacture of hand sanitizer to other TTB permittees who are authorized to receive such distilled spirits. TTB is authorizing this exemption under 26 U.S.C. 5562. AFPs and beverage DSPs must continue to keep records of their operations, including any undertaken as authorized under this exemption. Tax guidance for the manufacture of hand sanitizer: Nonbeverage products made with ethanol, including hand sanitizer, are not subject to federal excise tax. Please note that the FDA guidance referenced above specifies the use of denaturants when compounding hand sanitizer. For information regarding denaturants, please contact FDA. Formula guidance for the manufacture of hand sanitizer: TTB is authorizing the manufacture of hand sanitizer products by DSPs using a formulation in the FDA guidance cited above without first obtaining formula approval from TTB. Guidance for industrial alcohol users: Industrial alcohol user permittees may also use denatured ethanol to manufacture hand sanitizer using a formulation in the FDA guidance cited above without first obtaining formula approval from TTB. During the period covered by this guidance, TTB is also exempting industrial alcohol user permittees from the requirement to request approval from TTB to increase the quantities of denatured ethanol that they may procure. See 27 CFR 20.42(a)(3), 20.56. TTB is authorizing these exemptions under its authority in 27 CFR 20.22(b) to approve emergency variations from regulatory requirements. Guidance regarding transfers in bond. Under current TTB regulations, when DSPs want to receive either denatured or undenatured ethanol from another domestic DSP, the receiving DSP must submit an application to TTB for authorization prior to the first transfer and ensure appropriate bond coverage. See 27 CFR 19.403, 404. During the period covered by this guidance, for transfers of either denatured or undenatured distilled spirits between domestic DSPs, TTB is exempting DSPs from the requirements to request approval from TTB to receive denatured or undenatured distilled spirits from another DSP and to obtain additional bond coverage. Rather than submit such requests to TTB for approval using TTB F 5100.16, DSPs must maintain records of such receipts, which would include records of the information currently required on TTB F 5100.16. TTB is authorizing these exemptions under its authority in 27 CFR 19.28 to approve emergency variations from regulatory requirements. Guidance for state and local governments. Both denatured and undenatured alcohol may be removed free of tax for the use of a state, any political subdivision of a state, or the District of Columbia, for nonbeverage purposes, including making hand sanitizer. See 26 U.S.C. 5214(a)(2). An alcohol user permit is required to obtain alcohol from a distilled spirts plant. See 26 U.S.C. 5271(a); 27 CFR part 22. TTB provides state and local governments with a streamlined application, as authorized under 27 CFR 22.42 and 22.43(a)(1). TTB has dedicated personnel to process such applications seven days a week given the COVID-19 emergency. Please note that the recent FDA guidance cited above specifies using denaturants when compounding hand sanitizer. During the period of this guidance, TTB is authorizing state and local government permittees to make hand sanitizer for use anywhere, as needed to address the COVID-19 national emergency. See 27 CFR 22.22(b). Guidance for hospitals, blood banks, sanitariums, certain pathological laboratories, non-profit clinics, and qualifying educational institutions. Hospitals, blood banks, sanitariums, certain pathological laboratories, non-profit clinics, and qualifying educational institutions may obtain alcohol free of tax for their own nonbeverage purpose use and not for resale or use in the manufacture of any product for sale, as described in 26 U.S.C. 5214(a)(3). Manufacturing hand sanitizer is one such nonbeverage use. As with state and local governments, such alcohol must be obtained from a distilled spirits plant and may only be obtained by those holding an alcohol user permit from TTB. See 26 U.S.C. 5271(a); 27 CFR part 22. TTB will offer these organizations the same streamlined application, as authorized under 27 CFR 22.42 and 22.43(a)(2). Again, please note that recent FDA guidance specifies using denaturants when making hand sanitizer. Further Information If you have questions regarding obtaining a TTB permit, please contact the National Revenue Center at 877-882-3277 / 877-TTB-FAQS (toll free) or online. For all other inquiries, please contact the Regulations and Rulings Division at 202-453-2265 or online. Please visit the homepage of TTB.gov for the most recent TTB news on COVID-19 related issues.
  7. DISCUS has put together a resource page for distillers here: https://www.distilledspirits.org/distillers-responding-to-covid-19/ Our COVID-19 Hand Sanitizer Connection Portal is a resource for distillers looking to produce hand sanitizer – providing a list of the necessary ingredients and supplies for making sanitizer and identifying distribution methods.. The portal is available for ALL American distillers to access.
  8. Updated FDA Guidence 3/24/20 This guidance is being issued to address the Coronavirus Disease 2019 (COVID-19) public health emergency. This is being implemented without prior public comment because FDA has determined that prior public participation for this guidance is not feasible or appropriate (see section 701(h)(1)(C)(i) of the Federal Food, Drug, and Cosmetic Act (FD&C Act) and 21 CFR 10.115(g)(2)). This guidance document is being implemented immediately, but it remains subject to comment in accordance with the Agency’s good guidance practices. Download full doc below. Ethanol-for-Hand-Sanitizer-FINAL-3.24.20.pdf
  9. FDA is issuing this guidance for immediate implementation in accordance with 21 CFR 10.115(g)(2). Comments may be submitted at any time for Agency consideration. Submit written comments to the Dockets Management Staff (HFA-305), Food and Drug Administration, 5630 Fishers Lane, Rm. 1061, Rockville, MD 20852. Submit electronic comments to https://www.regulations.gov. All comments should be identified with the docket number listed in the notice of availability that publishes in the Federal Register. For questions regarding this document, contact FDA’s human drug compounding team (CDER) at compounding@fda.hhs.gov. U.S. Department of Health and Human Services Food and Drug Administration Center for Drug Evaluation and Research (CDER) March 2020 https://www.fda.gov/media/136118/download Hand-Sanitizers-Immediately-in-Effect-Guidance-3-20-2020-345pm.pdf
  10. Hello all, Christopher Carlsson of Spirits Review sent me the following link to share. It is aggregation of 118 plastic bottle suppliers from around the country. He knows people are looking for suppliers for he wanted to pass this on. https://www.thomasnet.com/products/custom-plastic-bottles-96102611-1.html
  11. Hi Tina, You might want to talk to @Quirk from Cardinal Spirits.
  12. Special Edition - COVID-19 Production of Hand Sanitizer by Distilled Spirits Permittees Greetings! This special edition contains guidance for DSPs and Industrial Alcohol User permittees on producing ethanol-based hand sanitizers. Due to the Coronavirus 2019 (COVID-19) pandemic, the Acting Administrator of the Alcohol and Tobacco Tax and Trade Bureau (TTB) has found that it is necessary or desirable to waive provisions of internal revenue law with regard to distilled spirits, and therefore is providing certain exemptions and authorizations to distilled spirits permittees who wish to produce ethanol-based hand sanitizers to address the demand for such products during this emergency. Any existing DSP therefore can immediately commence production of hand sanitizer or distilled spirits (ethanol) for use in hand sanitizer, as described below, without having to obtain authorization first. These measures are generally authorized under authorities that apply in disaster situations, and as a result, are initially approved through June 30, 2020, with the possibility for extension as necessary. Permit guidance for alcohol fuel plants (AFPs) and beverage distilled spirits plants: TTB is exempting AFPs and beverage DSPs from the requirement to obtain additional permits or bonds to manufacture hand sanitizer or to supply ethanol for use in the manufacture of hand sanitizer to other TTB permittees who are authorized to receive such distilled spirits. TTB is authorizing this exemption under the authority of 26 U.S.C. 5562. AFPs and beverage DSPs must continue to keep records of their operations, including any undertaken as authorized under this exemption. Tax guidance for the manufacture of hand sanitizer: Hand sanitizer products are not subject to Federal excise tax if made with denatured ethanol. However, if made with undenatured ethanol, Federal excise tax applies. For information regarding denaturants, please contact TTB’s Scientific Services Division. Formula guidance for the manufacture of hand sanitizer: TTB is authorizing the manufacture of hand sanitizer products consistent with World Health Organization (WHO) guidance. All TTB-permitted DSPs (including AFPs and beverage DSPs) may manufacture hand sanitizer products that are comprised of denatured or undenatured ethanol, glycerol (not less than 1.45% of the finished hand sanitizer product on a volume basis), and hydrogen peroxide (not less than 0.125% of the finished hand sanitizer product on a volume basis), without first obtaining formula approval from TTB. Guidance for industrial alcohol users: Industrial alcohol user permittees may also use denatured ethanol to manufacture hand sanitizer consistent with World Health Organization (WHO) guidance without first obtaining formula approval. During the period of this guidance, TTB is also exempting industrial alcohol user permittees from the requirement to request approval from TTB to increase the quantities of denatured ethanol that they may procure (see 27 CFR 20.42(a)(3) and 20.56). TTB is authorizing these exemptions under its authority in 27 CFR 20.22(b) to approve emergency variations from regulatory requirements. This information is available on our Public Guidance page.
  13. Special Edition - COVID-19 Production of Hand Sanitizer by Distilled Spirits Permittees Greetings! This special edition contains guidance for DSPs and Industrial Alcohol User permittees on producing ethanol-based hand sanitizers. Due to the Coronavirus 2019 (COVID-19) pandemic, the Acting Administrator of the Alcohol and Tobacco Tax and Trade Bureau (TTB) has found that it is necessary or desirable to waive provisions of internal revenue law with regard to distilled spirits, and therefore is providing certain exemptions and authorizations to distilled spirits permittees who wish to produce ethanol-based hand sanitizers to address the demand for such products during this emergency. Any existing DSP therefore can immediately commence production of hand sanitizer or distilled spirits (ethanol) for use in hand sanitizer, as described below, without having to obtain authorization first. These measures are generally authorized under authorities that apply in disaster situations, and as a result, are initially approved through June 30, 2020, with the possibility for extension as necessary. Permit guidance for alcohol fuel plants (AFPs) and beverage distilled spirits plants: TTB is exempting AFPs and beverage DSPs from the requirement to obtain additional permits or bonds to manufacture hand sanitizer or to supply ethanol for use in the manufacture of hand sanitizer to other TTB permittees who are authorized to receive such distilled spirits. TTB is authorizing this exemption under the authority of 26 U.S.C. 5562. AFPs and beverage DSPs must continue to keep records of their operations, including any undertaken as authorized under this exemption. Tax guidance for the manufacture of hand sanitizer: Hand sanitizer products are not subject to Federal excise tax if made with denatured ethanol. However, if made with undenatured ethanol, Federal excise tax applies. For information regarding denaturants, please contact TTB’s Scientific Services Division. Formula guidance for the manufacture of hand sanitizer: TTB is authorizing the manufacture of hand sanitizer products consistent with World Health Organization (WHO) guidance. All TTB-permitted DSPs (including AFPs and beverage DSPs) may manufacture hand sanitizer products that are comprised of denatured or undenatured ethanol, glycerol (not less than 1.45% of the finished hand sanitizer product on a volume basis), and hydrogen peroxide (not less than 0.125% of the finished hand sanitizer product on a volume basis), without first obtaining formula approval from TTB. Guidance for industrial alcohol users: Industrial alcohol user permittees may also use denatured ethanol to manufacture hand sanitizer consistent with World Health Organization (WHO) guidance without first obtaining formula approval. During the period of this guidance, TTB is also exempting industrial alcohol user permittees from the requirement to request approval from TTB to increase the quantities of denatured ethanol that they may procure (see 27 CFR 20.42(a)(3) and 20.56). TTB is authorizing these exemptions under its authority in 27 CFR 20.22(b) to approve emergency variations from regulatory requirements. This information is available on our Public Guidance page.
  14. New guidance for DSPs producing hand sanitizer is coming from TTB. In the meantime here is some information from DISCUS and WHO. It looks like TTB and FDA are going to waive some of the legal requirements during this current shortage. Hand Sanitizer WHO Formula.xlsx DISCUS Guidance_Hand Sanitizer_20.3.17.pdf
  15. New guidance for DSPs producing hand sanitizer is coming from TTB. In the meantime here is some information from DISCUS and WHO. @Hudson bay distillers & @Skaalvenn it looks like TTB and FDA are going to waive some of the legal requirements during this current shortage. Hand Sanitizer WHO Formula.xlsx DISCUS Guidance_Hand Sanitizer_20.3.17.pdf
  16. until
    We hope you will join us at the Chemist Spirits (https://www.chemistspirits.com/distillery, voted the best distillery in WNC in 2019) for a two and a half days of classes on the business, process and marketing of grain to glass craft spirits. For a detailed scheduled, more information, or to register go to: https://distilling.com/event/7762/
  17. until
    The American Distilling Institute is excited to announce our return to Louisville, KY for the 2021 Craft Spirits Conference & Vendor Expo. While more details on registration, lodging, etc. will follow, after our 2020 conference in New Orleans, ADI has formally signed an agreement with the Kentucky Convention Center for August 23–25, 2021, as the location of the annual conference. “ADI is thrilled to be returning once again to Louisville,” said Erik Owens, President of ADI. “Louisville is an ideal location for ADI’s annual conference and expo—it’s surrounded by historical distilleries and the Bourbon Trail, and it’s also home to an expanding craft distilling scene. The people of Louisville have welcomed us many times before, and we look forward to being back in 2021.” “The Kentucky Distillers’ Association is pleased to welcome ADI’s annual conference back to Kentucky,” said KDA President Eric Gregory, “where we can showcase and share the innovative government affairs, tourism, and social responsibility efforts fueling Kentucky’s Bourbon and distilled spirits industry.” ADI has hosted the annual Conference & Vendor Expo in Louisville 6 times since 2005, most recently in 2015, with an attendance of over 1,600 distillers and industry professionals. Louisville, long regarded as America’s bourbon capital, is home to some of the largest spirits producers in the world, as well as dozens of world-class craft distilleries making a wide range of spirits. Moonshine University, one of the country’s premier distillery training schools, also calls the city home. “Moonshine University is thrilled to welcome ADI to Louisville, the epicenter of distilling in the U.S., for their 2021 Conference,” said Moonshine University Head Of Corporate Development Kevin Hall. “The distilling landscape in Louisville has changed dramatically since ADI was last here in 2015 with the addition of several beautiful new distilleries. We love seeing so many friends and alumni back in town and look forward to meeting new distillers just entering the industry.” While still more than a year away, advanced planning is crucial for ensuring a great experience for attendees and that conference activities run smoothly “Louisville is the heart of our craft and an iconic destination for our constituents,” added ADI Conference Director Anne-Sophie Whitehead. “It is a pleasure and an honor for us to be able to return for another successful gathering of the industry and pay homage to the men and women who carry on our beautiful tradition.”
  18. until
    2020 ADI Virtual Craft Spirits Conference & Vendor Expo Tuesday July 13th Meet with the Louisiana Guild, our 2020 hosts. Attend virtual distillery tours and a guild panel with the distillers Enjoy cocktail demonstrations and live music to get the conference kicked off, New Orleans style! Tuesday July 14th Keynote address July 14th, 10 am MST Live Educational Sessions and Expo Floor 1pm – 4pm EST / 11am MST-2pm MST / 10am-1pm PST Visit the expo floor to view and download spec sheets, photos and videos of the products, connect with our sponsors and exhibitors Wednesday July 15th and Thursday July 16th Live Educational Sessions and Expo Floor 12pm – 4pm EST / 10am MST-2pm MST / 9am-1pm PST Visit the expo floor to view and download spec sheets, photos and videos of the products, connect with our sponsors and exhibitors Rum Summit Friday July 17th Click Here to Register! Please email admin@distilling.com with questions
  19. A webinar with Seth Sirbaugh, Principal of Tribe Branding & Design, moderated by our own ADI president Erik Owens Everyone in the distilling industry hears the term ‘branding’ every day, but it’s often said as a catch all, misused, or just partially explained. Your brand and identity can have as big an impact on your business as the quality of the spirits you produce. The process of branding involves much more than your logo and labels. It’s the definition of your story and how you tell it. Your brand is who you are to the public and ultimately how you can connect with them. Branding can also establish your positioning—the key differentiators that set you apart in a crowded industry. ADI’s goal is to give our membership one-on-one access to an expert who can help provide clarity on what branding really is and how it can help shape your distilling business as a whole—and then share that information through a webinar. To help us do this, we have partnered with Seth Sirbaugh of Tribe Branding & Design to deliver a webinar focused on specifically on branding for distillers. Tribe has spent the better part of a decade working with craft distilleries and breweries to help each client define, target, and present their own unique brands Now—we want to hear from our membership. The content of this webinar is going to be built specifically on our members questions. Your participation will help inform all of the the topics we discuss. Whether your brand-related questions deal with budget planning, identity design, packaging, defining your overall brand—or even just where to start—we need to hear from you. Email us your questions: hello@tribecol.com (please make this email a link to direct email link that comes up with a subject line of: ADI Branding Webinar Question) Register for the event here: https://zoom.us/webinar/register/WN_4zG3kSLpSqSjWDJWfiia3w And, if you would like to participate directly in the webinar beyond asking questions see the link below.
  20. ADI is looking for a craft distiller with established brands, who is looking to rebrand, and would like to participate in our "Ask the Experts: Branding Webinar". If interested, go to https://distilling.com/event/branding-webinar/ to check out the description of the webinar, and contact eriko@distilling.com.
  21. As far as I am award this should not be labeled as Bottled in Bond. And @dhdunbar is correct that what some things should be labeled and what TTB approves are not always the same thing. If I remember correctly Bourbon does not require formula approval so maybe that was why TTB approved the label when the spirit was not distilled at the DSP where whiskey was aged.
  22. ADI ACSA SF Worlds Spirits (you may need to pay for the medals) Great American International Spirits Competition Sunset International Spirits Competition SIP Northwest Good Food Awards ...
  23. I don't know. The fibers in agave are pretty tough which is why the old method use a big stone mill or more modern distilleries use a roller mill. I'll ask a guy I know and get back to you.
  24. @Canuckwoods all of the major spirit and wine competitions in the world award medals based on their own internal quality metric which means if a 100 spirits were entered into a category and base on their quality 100 could receive gold medals or none could receive medals. However, the Great American Beer Festival and their subsidiary competitions use a 1-2-3 model so that no matter how many entries in a category they only award 1 gold, 1 silver, and 1 bronze.
  25. I haven't heard of anyone selling the pulp. Once cooked and crushed the must starts to ferment. However, cooked agave (whole or halved) seem to be pretty stable, I've seen distillers in Oaxaca leave their cooked pinas for more than a week before crushing and beginning fermentation. A number of years ago St. George purchased cooked agave from mexico and then trucked it up to Alameda, CA where they shredded it and distilled it, though from the stories I've heard they had some difficulty with this process.
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