LSPedia 的全球序列化系列
序列化不是一刀切的。由于美国、欧盟、亚洲和中东的规定各不相同,公司必须应对复杂的要求网络。您为全球合规做好准备了吗?
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欢迎来到 LspEdia,在这里,创新与奉献精神相结合。
如果你热衷于有所作为并在协作环境中茁壮成长,LspEdia 就是你的不二之选。

序列化不是一刀切的。由于美国、欧盟、亚洲和中东的规定各不相同,公司必须应对复杂的要求网络。您为全球合规做好准备了吗?
.avif)
如果你热衷于有所作为并在协作环境中茁壮成长,LspEdia 就是你的不二之选。


The “It Won’t Happen to Me” Era of DSCSA Compliance for Dispensers Is Over
For years, many dispensers assumed the FDA had bigger priorities and viewed the risk of a Drug Supply Chain Security Act (DSCSA) compliance audit as minimal. You may have heard, or even believed, that smaller dispensers would not be inspected or subject to active enforcement.
As of January 2026, that assumption no longer holds. Enforcement has moved beyond education, and DSCSA compliance is now being actively reviewed during inspections.
The stabilization period has ended, and FDA oversight has shifted from education and guidance to verification. Dispensers should be prepared to demonstrate compliance.
The Game Changer: FDA Issues First DSCSA 483 to a Dispenser
In a watershed moment for the industry, the FDA recently issued its first-ever Form 483 specifically citing DSCSA violations to a dispenser. The target? Not a massive hospital chain, but a Texas-based MedSpa. According to recent legal alerts, FDA investigators conducted an on-site inspection in December 2025 days after the final enforcement stabilization period ended on November 27th, 2025.
Their findings were brutal in their simplicity:
The FDA didn't need a complex digital audit to catch them. They simply compared the purchase records against patient logs. The math didn't add up, and the 483 was issued.
Why This Matters to You
If you own a dispenser or MedSpa, this is your wake-up call. The "Wrinkle" in the supply chain here wasn’t just a pun on Botox; it was a gap in compliance that invited federal scrutiny.
The FDA has signaled that they are moving from implementation to enforcement. They are actively looking for:
The assumption that "nobody is enforcing this" has been dismantled. The FDA is walking in. And they are starting with the "low-hanging fruit" - dispensers who think they are flying under the radar.
December 1, 2025: A Turning Point for DSCSA Compliance
December 1, 2025, marked a clear shift in the regulatory landscape. As noted by the Partnership for Safe Medicines, the end of the stabilization period was not merely a date on the calendar; it signaled the transition to full expectations for compliance.
All dispensers are now expected to be fully interoperable, including electronic data exchange, automated verification, and defined processes for handling suspect products. Organizations still relying on paper records, manual emails, or informal vendor assurances may find themselves unprepared under current inspection standards.
The Solution: Compliance Without the Headache
The FDA’s message is clear: Verification is not optional. You must ensure every product you buy comes from an Authorized Trading Partner and has the data to back it up.
This is where LSPedia changes the game for your business.
We understand that you are in the business of patient care, not supply chain forensics. That’s why we built Pharmacy Pro; the leading DSCSA solution designed specifically for dispensers.
How LSPedia Protects You:
Ready to secure your operations and ensure audit readiness? Explore Pharmacy Pro, a comprehensive DSCSA solution purpose-built for dispensers.