Wuyangtang
She Herbal Foods
Reishi products, cordyceps mycelium powder, mushroom-based meal replacements, herbal pastes and Dendrobium officinale products from a joint-stock company registered in 2022 in Jingning, Lishui, Zhejiang; food and health-food production appear in its scope as licensed items whose permits have not been supplied, 14 insured staff are on record against 100–500 stated, and this page makes no health claims.
Mushroom and herbal food products.
Reishi (Ganoderma) Products
Listed first on the application, without forms or specifications. For a reishi product the questions that decide the order are the part used (fruiting body, spore, mycelium), the form (slice, powder, extract, capsule), whether spores are shell-broken, and the marker compounds and limits on the certificate of analysis.
Cordyceps Mycelium Powder
Listed as 虫草菌粉 — powder of cultured mycelium, not wild-harvested cordyceps. Ask for the species and strain name as it appears on the production documents, the culture method and the specification sheet. Regulators approve named species, not “cordyceps” in general.
Mushroom-Based Meal Replacements
Listed as 菌菇代餐. No formula, serving size or nutrition panel has been supplied. For private label, ask for the full ingredient list in descending order and the nutrition analysis behind the label.
Herbal Pastes
Listed as 养生膏方 — concentrated pastes made from plant ingredients. Multi-herb formulas are the hardest category to move across borders: each ingredient has to be permitted as a food or supplement ingredient in the destination market. Ask for the complete formula with Latin names before anything else.
Dendrobium Officinale Products
Listed as 铁皮石斛. Dendrobium is an orchid, and orchids are covered by the CITES convention on trade in endangered species; see the FAQ for what that means for paperwork. Ask whether the raw material is cultivated, where, and which documents accompany an export shipment.
What Has Not Been Supplied
There is no company website or English name on the application, and no product list, specification, licence, registration certificate or test report was attached. This page therefore describes product categories only, as stated by the company. The application’s selling-points field consists of traditional-medicine efficacy phrases; they are not repeated here.
What the registry confirms, and what stays open.
Production Is in the Scope — as Licensed Items
The registry read (2026-09-19, official source) lists among the licensed items 食品生产 (food production), 保健食品生产 (health-food production), 饮料生产 (beverage production), 药品生产 (drug production) and 食用菌菌种生产 (edible-fungus spawn production), and among the general items 中药提取物生产 (production of Chinese-medicine extracts), 食用菌种植 (edible-fungus cultivation) and 食用农产品初加工 (primary processing of edible farm products). The scope itself says licensed items may only be carried on after approval, with the permit deciding the actual range. So the scope shows what the company may apply to do; the permits show what it is allowed to do. No permit has been supplied yet.
Import & Export Clause Covers Drugs Only
The only import-export wording in the scope is 药品进出口 (import and export of drugs), itself a licensed item. There is no general 货物进出口 (import and export of goods) clause. The application ticks “foreign-trade operator” as held; no document was attached. Ask under whose name food products would be exported, and who the contract and payment counterparty would be.
14 Insured Staff on Record
The application states 100–500 employees. The registry read records 14 people on social insurance at this entity. The company has subsidiaries on record, which may employ staff separately; that is not confirmed. Ask which legal entity runs the production site and how many people it employs.
Capital and Company Type
An unlisted joint-stock company registered on 27 December 2022 by the Lishui market regulator, with registered capital of RMB 120 million, of which RMB 96.5 million is recorded as paid in. It was formerly registered as 浙江五养堂畲药股份有限公司; the record was last approved on 26 June 2025. The registered industry classification is agricultural and sideline food processing.
Court and Equity-Freeze Records on File
The risk scan read on 2026-09-19 lists four items under own risk: one record that a shareholder’s equity in the company is frozen, two hearing notices in which the company is the defendant, and one court announcement in which it is the plaintiff. Three related-party items are also listed: an equity freeze concerning one executive, an equity freeze inside a shareholding partnership, and a hearing notice against a company it has invested in. No administrative penalty, abnormal-operation listing or court-enforcement record was found. Amounts and outcomes were not retrieved; ask.
Certificates Listed, None Supplied
The application lists a foreign-trade operator record, ISO 9001 and REACH. None was attached. REACH is the EU chemicals regulation and does not apply to food as such, so that tick is most likely a form-filling slip. What matters for these products — the food production licence, health-food registration or filing, the Customs export-producer filing and batch test reports — is not on the application at all. Nothing is claimed here until documents are seen.
What was checked — and what the check found.
The registry read is done: status, scope, capital, insured headcount and court records come from an official registry source read on 2026-09-19 and are quoted as recorded. Everything else on this page — product categories, MOQ, capacity, lead times, target markets and the certificate list — comes from the company’s own application; no licence, product document or test report was supplied with it. No health, nutrition or efficacy statement is made on this page. It is updated when documents arrive.
A herbal-food group since 2022, read off its registry record and application.
Wuyangtang is Zhejiang Wuyangtang She Medicine Health Group Co., Ltd. (浙江五养堂畲药健康集团股份有限公司), an unlisted joint-stock company registered on 27 December 2022 in Jingning She Autonomous County, Lishui, Zhejiang, with registered capital of RMB 120 million, RMB 96.5 million of it paid in. An official registry read on 2026-09-19 confirms active (存续) status. Its scope lists food, health-food, beverage and drug production and drug import-export as licensed items, and Chinese-medicine extract production, edible-fungus cultivation and primary processing of farm products as general items. The company supplied no English name; the one used here is a direct rendering of the registered name.
Its application lists reishi products, cordyceps mycelium powder, mushroom-based meal replacements, herbal pastes and Dendrobium officinale products, for wholesalers and brands in the United States, Southeast Asia, India and the Middle East, with an MOQ of 998 pieces.
Three things are open. None of the permits that the licensed items depend on — food production licence, health-food registration or filing, export-producer filing — has been supplied. The registry records 14 insured staff against the 100–500 in the application, and the scope has no general goods import-export clause. And there are court and equity-freeze records on file whose details were not retrieved. Ask about all three before relying on the listing.
Registered in 2022, still active.
Company registered
Registered on 27 December 2022 in Jingning She Autonomous County, Lishui, as 浙江五养堂畲药股份有限公司 (registry read).
Renamed; changes on record
Renamed to the current group name; one change each of registered capital, registered address and key personnel on record; last approved 26 June 2025.
Registry read · joins CMH
Listed from the application and an official registry read on 2026-09-19; licences, product registrations and test reports remain open.
Who buys this kind of product.
Importers of Asian Health Foods
Distributors supplying Chinese and pan-Asian grocery and herbal retail.
Supplement & Functional-Food Brands
Private-label buyers who hold their own product registrations in the destination market.
Ingredient Buyers
Manufacturers sourcing mushroom powders or extracts as inputs; specification and test reports decide suitability.
Cross-Border E-commerce Sellers
Small-batch buyers; platform rules on health claims apply in addition to national law.
Traditional-Medicine Retail (Where Licensed)
In several target markets these products fall under traditional-medicine or health-supplement registration — see the FAQ.
Halal Markets
Indonesia, Malaysia and the Gulf are on the application; halal certification is a separate document not listed by the company.
Sourcing guides for this category
What Documents to Request From a Chinese Supplier Before Your First Order
Importing from China: The Compliance Checklist by Market
The 27-Point China Factory Audit Checklist
How to Request a Sample from a Chinese Factory (Without Getting Burned)
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Frequently Asked Questions
What does Wuyangtang make?
By its application: reishi products, cordyceps mycelium powder, mushroom-based meal replacements, herbal pastes and Dendrobium officinale products, for wholesalers and brands. Its registered scope lists food, health-food, beverage and drug production as licensed items. No product list, specification or licence has been supplied yet.
Is this listing CMH-verified?
Yes, on the registry check only: an official registry read on 2026-09-19 confirms active status and a scope in which food and health-food production appear as licensed items. It does not confirm that the permits behind those items exist, the production site, the staffing or any product — the registry shows 14 insured staff, and no documents were supplied.
Why are there no health benefits on this page?
Because a claim is a regulated act, not a description. In most of the markets this company lists, saying that a food treats, prevents or relieves a condition changes its legal category from food or supplement to medicine, with a different approval route. The application’s selling points are efficacy phrases from traditional medicine; they are left out deliberately. What you may say on your label is for your regulator to decide.
Does Dendrobium need CITES paperwork?
Dendrobium officinale is listed in CITES Appendix II under the family listing for orchids. The listing’s annotation covers all parts and derivatives with a short list of exceptions, and none of them covers Dendrobium food or supplement products — the finished-product exemption added in 2022 applies to cosmetics made from five other orchid species. On the China side, the national regulation on trade in endangered species requires approval and an import-export certificate (允许进出口证明书) to be shown to Customs, and a 2016 notice from China’s CITES Management Office keeps artificially propagated Dendrobium inside that system. The importing country applies its own CITES rules as well. Ask who obtains the certificate and how long it takes.
What should the exporter have on the China side?
Under China Customs Decree 249, in force since 1 January 2022, producers of food for export must be filed with Customs, and exported food must meet the destination country’s standards. Within China, Dendrobium officinale stem and reishi fruiting body were formally added in November 2023 to the national list of substances that are both food and traditional Chinese medicine; cordyceps is not on that list, and the food-law status of cordyceps mycelium powder and of multi-herb pastes was not confirmed when this page was written. Ask for the Customs filing number and for the production licence that names each product.
What does the United States require?
Sold as dietary supplements, these products need the foreign facility registered with FDA through a US agent and renewed every two years, Prior Notice for each shipment, and a US importer who carries the Foreign Supplier Verification duties. Manufacturing must meet 21 CFR Part 111 and the label needs a Supplement Facts panel. A structure-or-function claim needs the FDA disclaimer and a notification within 30 days of marketing; a disease claim makes the product a drug. An ingredient that counts as a new dietary ingredient needs a notification 75 days before marketing, and FDA keeps no authoritative list of older ingredients — so the importer has to establish the status of each one.
And Malaysia and Indonesia?
In Malaysia, registration with the NPRA is mandatory for natural and traditional products and for health supplements; registered products carry a MAL number ending in T or N and a hologram label, and a foreign company must appoint a Malaysian company as registration holder. In Indonesia, supplements need BPOM marketing authorisation, with a certificate of free sale and GMP evidence for imports, and halal certification becomes mandatory from 18 October 2026 for food and beverages, natural medicines and health supplements, imported products included.
Vietnam, India and the UAE?
Vietnam requires the product declaration to be registered under Decree 15/2018 and a GMP certificate for imported health supplements; a replacement decree issued in 2026 was suspended, so check the current position. In India the importer needs an FSSAI central import licence and at least 60% of shelf life remaining at import; reishi, cordyceps and dendrobium do not appear in the ingredient schedules that were read, and FSSAI’s July 2023 list of novel-ingredient decisions shows two Ganoderma lucidum applications rejected and one Cordyceps militaris application approved. In the UAE, marketing authorisation for dietary supplements and herbal products asks for a legalised certificate of free sale, a halal certificate, a pork-free statement and a local agent, with Arabic labelling.
Which HS headings usually come up?
Food preparations not elsewhere specified fall under 2106.90, dried mushrooms under 0712.3, plants and parts of plants used in pharmacy under 1211, and vegetable extracts under 1302. A product presented with therapeutic claims can be treated as a medicament under 3004, with a different import route altogether. Classification is decided by customs at import, on the actual product.
Talk to Wuyangtang She Herbal Foods directly.
Send the product and form (powder, granule, capsule, paste, ready-to-drink), whether you want the company’s own products or private label, destination market and quantity. Ask for the food production licence (SC number) and its product scope, any health-food registration or filing certificate for the exact product, the Customs filing as an export food producer, a full ingredient list with Latin names, heavy-metal, pesticide and microbiology reports per batch, and — for anything containing Dendrobium — how CITES paperwork is handled. None of those is on record here.
