Legal information
Impressum
Provider identification launch draft under German digital services rules. This page is not final legal advice and must be completed with the German operating entity details before public launch.
Last updated: 2026-06-15
Draft compliance notice
This page is a launch draft for lawyer review. Replace every placeholder and confirm the final wording with German counsel before public launch.
Provider
- Legal company name and legal form
- [To be added]
- Registered and service address
- [To be added]
- Represented by
- [Geschaeftsfuehrer / legal representative to be added]
Register information
- Commercial register
- [Register court and HRB/HRA number to be added]
- VAT identification number
- [Umsatzsteuer-ID to be added, if available]
Contact
- [Contact email to be added]
- Telephone or equivalent rapid contact channel
- [Phone number or fast contact channel to be added]
- Platform domain
- [Domain to be added]
Platform role
FromAsia Foods is intended to operate as a B2B online intermediary for verified suppliers and trade buyers in Europe. Access and commercial use are intended for business users only, not consumers.
Under the default launch model, FromAsia Foods does not act as the seller of food products, importer of record, warehouse operator, logistics or cold-chain fulfilment provider, payment processor, or issuer of supplier invoices. Orders submitted through the platform are intended to be purchase requests that require supplier confirmation.
Supplier and buyer responsibility
Suppliers remain responsible for the accuracy, legality, food-safety compliance, labelling, certificates, licences, product images, and availability of the products and documents they provide. Buyers remain responsible for using the platform only for business purchasing and for checking supplier confirmations, payment terms, delivery terms, and invoices before relying on them.
Content, complaints, and removals
FromAsia Foods may review, restrict, suspend, or remove company profiles, product listings, uploaded files, or accounts where information appears incomplete, misleading, infringing, unlawful, unsafe, or inconsistent with the B2B marketplace rules. The final notice-and-action, complaint, and appeal procedure must be aligned with the final AGB and applicable DSA or P2B obligations before launch.
Regulatory authority
[To be reviewed before launch. If a licence, food-business registration, regulated activity, or specific supervisory authority applies to the German operating entity or platform activity, add the competent authority and mandatory details here.]
Legal basis reference
This page is designed around provider information duties under German DDG section 5 and the platform role described in the draft AGB. Final wording, legal entity details, VAT/register information, and any sector-specific disclosure duties must be reviewed by German counsel before launch.