Understanding the Stabilization Period
Understanding the Stabilization Period
2025 DSCSA Requirement Deadline:
Despite the deferment, ConsortiEX continues to work with supply chain partners to satisfy all DSCSA requirements, as soon as made possible by industry trading partners. Find a recording of our recent webinar, which covers suggestions to dispensers on ensuring timely compliance, on the right.
05/27/2025
08/27/2025
11/27/2025
Despite the deferment, ConsortiEX continues to work with supply chain partners to satisfy all DSCSA requirements, as soon as made possible by industry trading partners.
ConsortiEX held a webinar on industry readiness and dispenser responsibilities on October 1st, just before the deferment. The deferment does impact the date of enforcement, but the suggestions to dispensers discussed within, on ensuring timely compliance, remain accurate. You can watch the full recording of the webinar, below.
3 Key Dispenser Deferments:
Product Verification is a current requirement that is enforceable. This can be completed manually, or via barcode scan. Only Verification of Transaction Data against EPCIS, has been deferred.
Come November 2024, trading partners will be required to participate in an interoperable electronic data exchange to respond to audits and inquiries, file 3911s in the event of illegitimate or suspect product, and to exchange tracking and tracing information when transferring ownership of product.
Accordion contentIt is critical to have your standard practices documented in order to remain compliant with DSCSA. This will be the first line of questioning in the event of an audit. You should already be having internal discussions documenting internal policy and procedure for DSCSA Compliance; including: Suspect and Illegitimate Product, Quarantine Controls, and Recall Response, in addition to the soon to be required Salable Returns Process.
3 Key Dispenser Deferments:
Product Verification is a current requirement that is enforceable. This can be completed manually, or via barcode scan. Only Verification of Transaction Data against EPCIS, has been deferred.
Come November 2024, trading partners will be required to participate in an interoperable electronic data exchange to respond to audits and inquiries, file 3911s in the event of illegitimate or suspect product, and to exchange tracking and tracing information when transferring ownership of product.
Accordion contentIt is critical to have your standard practices documented in order to remain compliant with DSCSA. This will be the first line of questioning in the event of an audit. You should already be having internal discussions documenting internal policy and procedure for DSCSA Compliance; including: Suspect and Illegitimate Product, Quarantine Controls, and Recall Response, in addition to the soon to be required Salable Returns Process.