Last Updated on May 28, 2026 by The Health Master
Guidelines for Sampling
The Central Drugs Standard Control Organisation (CDSCO) has issued uniform guidelines for sampling of Drugs, Cosmetics and Medical Devices to ensure the continuous availability of safe, effective, and high-quality medicines.
Download the CDSCO Guidelines for Sampling of Drugs, Cosmetics and Medical Devices
Substandard / Not of Standard Quality (NSQ), and spurious drugs pose severe risks. They lead to treatment failure, adverse drug reactions, increased morbidity, and the accelerated development of antimicrobial resistance.
CDSCO establishes the protocols for sampling from a random exercise to a structured, risk-based methodology.
1. The Core Objectives of Market Surveillance
The central purpose of pharmaceutical sampling is to verify that drugs, medical devices, and cosmetics available to the public align strictly with their approved specifications. This comprehensive surveillance strategy focuses on:
- Shelf-Life Monitoring: Continuous assessment of Active Pharmaceutical Ingredients (APIs), excipients, and finished formulations across every tier of the supply chain throughout their authorized shelf-life.
- Method Evaluation: Confirming that existing quality control and analytical methods remain robust and accurate.
- Investigating Faulty Batches: Rapidly evaluating products flagged as Not of Standard Quality (NSQ) to prevent further distribution.
- Rooting Out Illicit Trade: Systematically identifying unapproved products, unlicensed retail outlets, and counterfeit/spurious operations in the distribution chain.
- Vigilance Mapping: Creating a database of sales outlets that repeatedly stock non-compliant or spurious items to maintain targeted regulatory oversight.
2. Implementing a Strategic Sampling Plan
Historically, sample collection relied heavily on the individual knowledge of separate Drugs Inspectors / Drugs Control Officer, frequently leading to a data bias.
Surveillance was predominantly concentrated on well-known brands in accessible urban or suburban hubs, leaving rural, interior, and tribal regions largely unassessed.
To build a balanced, comprehensive database, each Drugs Inspector / Drugs Control Officer in coordination with their controlling authority, must now design structured monthly and annual sampling plans.
Drug Inspector / Drugs Control Officer & Controlling Authority ➔ Develops Monthly/Annual Sampling Plan ➔ Shared with HQ to Prevent Brand Duplication ➔ Wide Territory Coverage (Urban, Rural, Tribal)
This planning ensures optimal resource allocation, eliminates duplicate testing of identical commercial brands, and mandates the inclusion of seasonal or regional disease-specific therapies.
Must read: Drug Alert: NSQ Drugs Lists – Updated
3. Risk-Based Sample Selection Criteria
Rather than picking products at random, regulatory officials utilize a set of distinct risk factors to guide their selections.
A single sales outlet can be sampled for multiple therapeutic categories, formulations, and manufacturers based on these indicators:
Field and Consumer Intelligence
- Direct feedback or efficacy complaints received from healthcare professionals, medical representatives, consumers, or public media channels.
- Mandated surveillance schedules or surprise check schedules issued directly by the CDSCO.
- A history of frequent alerts or quality deviations noted in the centralized CDSCO and State Drug Authorities databases.
Market and Pricing Anomalies
- Identical product brands sold at drastically fluctuating price points targeting distinct market segments.
- Pharmaceuticals heavily discounted or sold outside standard ethical commercial practices.
- High-consumption volume products or medications that have a naturally narrow therapeutic index and low potency threshold.
- Products entering the market via secondary, unauthorized supply routes that bypass the traditional Super Stockist ➔ Stockist ➔ Wholesaler ➔ Retailer pipeline.
Visual and Physical Discrepancies
- Tampered product labels, spelling mistakes, missing critical batch parameters, or illegible product descriptions.
- Substandard primary packaging that compromises the formulation’s stability during seasonal environmental shifts.
- Imitations or physical packaging designs that closely resemble well-known, established pharmaceutical brands.
Regulatory Cap: To maintain a fair and effective monitoring system, Drugs inspectors / Drugs Control Officers are instructed to utilize these risk indicators over a rolling 6-month window, limiting standard collections to a maximum of three samples per retail outlet unless special approval is recorded.
4. Selecting Strategic Sampling Locations
To guarantee that the quality of medicines remains uncompromised at the final point of consumption, sample collection locations must span a varied geographic and operational spectrum. High-priority testing areas include:
- Locations with frequent historical NSQ reports or unresolved consumer complaints.
- Manufacturing sites and commercial outlets that have not been audited or sampled within the past calendar year.
- Government Medical Store Depots (GMSDs), public sector manufacturing units, and state or central government hospital pharmacies handling local procurement.
- Non-traditional sales premises, including outlets operating exclusively during non-standard morning/evening hours, facilities near schools or colleges, and border-zone retailers.
- Regions undergoing seasonal disease outbreaks or pandemics where specific target therapies face sudden high demand
5. Mandatory Protocols: Quantities and Timelines
To uphold administrative and legal validity under Sections 22 and 23 of the Drugs & Cosmetics Act, 1940, strict compliance regarding quantities, documentation, and transfer timelines is mandatory.
Minimum Sampling Quotas
Each Drug inspector / Drugs Control Officer must collect a minimum of 10 samples per month. This quota is divided into:
- 09 Samples: Distributed across Active Pharmaceutical Ingredients (APIs), excipients, and finished therapeutic formulations.
- 01 Sample: Dedicated exclusively to cosmetics or registered medical devices.
Managing Quantity Deficiencies
Surveillance requires adequate sample portions to accommodate full analytical testing and potential re-testing before an official NSQ declaration can be made.
However, smaller rural or retail counters may lack the stock required for standard four-part divisions.
In these scenarios, Drug Inspectors / Drugs Control Officer can implement a reduced testing protocol focused primarily on product identification and active assays to instantly rule out spurious formulations.
Streamlined Operational Timelines
To maximize public safety, administrative delays must be minimized so that product recalls and drug alerts can be executed immediately.
Step in Surveillance Process: Compulsory Timeline / Protocol
Laboratory Forwarding: Samples must be dispatched to the laboratory on the exact day of collection.
Transit Adjustments: Distant or remote rural collections must reach the testing laboratory no later than the following day.
Supply Chain Verification: Full tracing under Section 18A must be initiated during sampling to establish a clear paper trail from retailer to original manufacturer.
Analytical Standards: For proprietary or newly approved molecules, the Drug Inspector / Drugs Control Officer must secure the method of analysis and reference standards from the manufacturer immediately for the testing facility.
Note: CDSCO field officers utilize the unified SUGAM Lab Portal to generate electronic Forms 17, 17A, and 18, ensuring rapid synchronization between digital trails and offline sample delivery.
6. Official Specifications: Sample Requirements for Analysis
The following verified testing thresholds outline the precise quantities required by state and central laboratories to perform exhaustive analytical assessments:
Finished Pharmaceutical Formulations & APIs
Quantity of Drugs Sample Required For Complete Analysis
| S. No. | Name of Drug Sample | Legal Samples | Survey Samples |
| 1. | Tablets | 100 Tablets | 20 Tablets |
| 2. | Capsules | 100 Capsules | 20 Capsules |
| 3. | Syrups / Oral Liquids / Suspensions | 12 Bottles | 2 Bottles |
| 4. | Injection (Ampoule) (1-10 ml) | 40 Ampoules | 10 Ampoules |
| 5. | Injection (Ampoule) (10-100 ml) | 25 Ampoules | 10 Ampoules |
| 6. | Large Volume Parentrals (more than 100 ml ) | 10 Bottles | 2 Bottles |
| 7. | Powder for injection ( Sterile) | 40 Vials | 5 Vials |
| 8. | Dry Powder for Oral/ Liquid Suspension | 25 Bottles | 5 Bottles |
| 9. | Oral Rehydration Salt Sachets | 30 Pcs | 5 Pcs |
| 10. | API Drug | 2 x 10 gm | 5 gm |
| 11. | Ointment / Creams / Paste / Gel (Non Sterile) | 12 Pcs | 2Pcs |
| 12 | Ointment / Creams / Paste / Gel (Sterile) | 20pcs | 5pcs |
| 13. | Eye / Ear Drops | 40 Vials/ pcs | 5 Vials/ pcs |
| 14. | Nasal Preparation | 20 Vials | 5 Vials |
| 15. | Inhalers/ Spray | 40 Pcs | 5 Pcs |
| 16. | Pessaries / Lozenges | 60 Pcs | 20 Pcs |
| 17. | Empty Gelatine Capsules | 500 Capsules | 100 Capsules |
Cosmetic Formulations
Quantity of Cosmetics Sample Required For Complete Analysis
| S. No | Name of Cosmetic Sample | Legal Samples | Survey Samples |
| 1. | Skin Cream | 3 x 50 gm | 1 x 50 gm |
| 2. | Hair Cream | 3 x 50 gm | 1 x 50 gm |
| 3. | Shampoo | 3 x 200 ml | 1 x 200 ml |
| 4. | Soap | 3 x 150 gm | 1 x 150 gm |
| 5. | Transparent Toilet Soap | 3 x 150 gm | 1 x 150 gm |
| 6. | Tooth Powder | 3 x 50 gm | 1 x 50 gm |
| 7. | Shaving Cream | 3 x 15 gm | 1 x 15 gm |
| 8. | Cosmetic Pencil | 20 Pencils | 5 Pencils |
| 9. | Hair Dyes (Liquid, Gel & Cream) | 3 x 100 ml | 1 x 100 ml |
| 10. | Powder Hair Dyes | 4 x 20 gm | 1 x 20 gm |
| 11. | Liquid Toilet Soap | 3 x 100 ml | 1 x 100 ml |
| 12. | Bathing Bar | 3 x 75 gm | 1 x 75 gm |
| 13. | Hair Oil | 3 x 50 ml | 1 x 50 ml |
| 14. | Lipstick | 15 Packs | 5 Packs |
| 15. | Nail Polish | 15 Packs | 5 Packs |
| 16. | Talcum Skin powder | 3 Packs | 1 Pack |
| 17. | Kajal | 10 Packs | 1 Pack |
| 18. | Any other cosmetic | 3 Packs | 1 Pack |
Medical Devices
Quantity required for Complete Analysis of Medical Device Samples
| S. No | Name of Medical Device | Legal Samples | Survey Samples |
| 1. | Hypodermic Syringe | 50 pcs | 10 pcs |
| 2. | Hypodermic Needle/Disposable Syringe Needles | 50 pcs | 10 pcs |
| 3. | Infusion Set/Transfusion Set | 50 pcs | 10 pcs |
| 4. | IV Cannulas | 50 pcs | 10 pcs |
| 5. | Roll Bandage/Surgical Dressings | 20 pcs | 10 pcs |
| 6. | Sterile Gauze Swab | 50 pcs | 10 pcs |
| 7. | Surgical Suture (absorbable) | 50 pcs | 30 pcs |
| 8. | Surgical Suture (Non-absorbable) | 50 pcs | 30 pcs |
| 9. | Medicated Tape (Band-aid) | 100 pcs | 20 pcs |
| 10. | Absorbent Cotton Wool I.P. | 200 gm | 100 gm |
| 11. | Catheter or Ryles Tube | 30 pcs | 10 pcs |
| 12. | Tubing for Micros-surgery or Endoscope | 50 pcs | 10 pcs |
| 13. | Male Rubber Latex Condoms | 100 pcs | 100 pcs |
| 14. | Copper T | 120 pcs | 20 pcs |
| 15. | Tubal Rings | 100 pcs | 20 pcs |
| 16. | Blood Bags | 10 bags | 5 bags |
| 17. | Absorbent Sponge | 50 pcs | 5 pcs |
7. Centralized Monitoring
Data collected from ongoing field sampling feeds directly into centralized safety channels.
Every month, field offices compile comprehensive registries detailing total samples collected, finalized laboratory outcomes, and verified supply chains.
The Monthly Drug Alert System
When a batch fails to meet standard criteria, the results are formatted and sent ahead by the 10th of every month for publication on the official CDSCO portal.
If a batch is confirmed as Spurious (as defined under Section 17-B of the Act due to identity theft, imitation, or fictitious manufacturer labeling), a public alert is generated.
This alert links the manufacturer’s technical data with clear guidance on how stakeholders can distinguish authentic products from identified market counterfeits safeguarding public health at scale.
Note: Must read the CDSCO guidelines for full detail, link given above.
Compiled by:
Rakesh Dahiya, Asstt. State Drugs Controller, FDA Haryana


