Summary
Policy clarification that expands "GTIN" abbreviation to full term "Global Trade Item Number (GTIN)" in bundle and multipack requirements. No substantive rule change—existing permissibility of manufacturer-created bundles and multipacks with unique GTINs remains unchanged.
Why it matters
This is a minor terminology clarification with no practical impact on seller compliance. The underlying rules for bundles and multipacks remain identical. Sellers already compliant with GTIN requirements for bundles/multipacks face no new obligations or risk from this change.
Recommended action
No action required. This is a documentation cleanup that does not alter existing bundle or multipack eligibility criteria. Sellers should continue following current GTIN requirements for manufacturer-created bundles and multipacks.
Manufacturer-created bundles are permissible for sale. Manufacturer bundles are a combination of complimentary products that are packaged together by the manufacturer and have a single, unique Global Trade Item Number (GTIN) that corresponds to the bundle.
Manufacturer-created multipacks are permissible for sale. Manufacturer multipacks are multiple units of the same product that are packaged together by the manufacturer and have a single, unique GTIN that corresponds to the multipack.
Manufacturer-created bundles are permissible for sale. Manufacturer bundles are a combination of complimentary products that are packaged together by the manufacturer and have a single, unique Global Trade Item Number (GTIN) that corresponds to the bundle.
Manufacturer-created multipacks are permissible for sale. Manufacturer multipacks are multiple units of the same product that are packaged together by the manufacturer and a single, unique GTIN that corresponds to the multipack.
Affects: Seller, Listing