Based on the information obtained during the March 27, 2025, inspection:
? Ultralux Clean
o Has a pesticidal intent and is therefore a pesticide.
o Is not registered with the EPA pursuant to section 3 of FIFRA.
? Ultralux Air Sentry 300
o Is an instrument or contrivance intended for trapping, destroying, repelling, or mitigating any pest or any other form of plant or animal life, and thus, falls within the definition of device under FIFRA section 2(h), 7 U.S.C. ? 136(h), and 40 C.F.R ? 152.500(a). Accordingly, it is subject to FIFRA regulation.
o Is a misbranded pesticide device because the labeling bears statements, designs, or graphic representations that are false or misleading in violation of FIFRA section 2(q)(1), 7 U.S.C. ? 136(q)(1).
? Ultralux Water Machine
o Is an instruments or contrivances intended for trapping, destroying, repelling, or mitigating any pest or any other form of plant or animal life, and thus, falls within the definition of device under FIFRA section 2(h), 7 U.S.C. ? 136(h), and 40 C.F.R ? 152.500(a). Accordingly, it is subject to FIFRA regulation.
o Is a misbranded pesticide device because the label fails to bear the number of the establishment where it was produced in violation of FIFRA section 2(q)(1), 7 U.S.C. ? 136(q)(1).
o Is misbranded because the labeling bears statements, designs, or graphic representations that are false or misleading.
Ultralux Health, LLC violated FIFRA section 12(a)(1)(A), 7 U.S.C. ? 136j(a)(1)(A), by selling