CFA submitted the following comments on the U.S. Food and Drug Administration’s (FDA) proposed Menu Labeling: Supplemental Guidance for Industry. The draft Guidance largely reaffirms interpretations of the menu labeling law’s requirements that FDA has made through rulemaking, previous guidance, and technical assistance, and should position the agency to begin timely enforcement of menu labeling requirements with minimal uncertainty. FDA needs to act swiftly to level the playing field.