CDSCO · Face Powder & Compact

CDSCO Registration for Face Powder, Compact & Loose Powder Import in India

Powder makeup turns on one thing above all: talc. The asbestos-free declaration is the headline document, alongside the permitted-colour list and the general heavy-metal limits.

Published: August 2026 Reading Time: 12 min

Pressed compacts, loose setting powders and blotting powders are talc-based colour cosmetics, and each must be registered with CDSCO under the Cosmetics Rules, 2020 before import. Registration is product-level and tied to the specific formulation, its shades and the factory.

The one issue that dominates a powder filing is the safety of the talc — an asbestos-free declaration is expected — with the permitted-colour list and the heavy-metal limits close behind.

📌 Under Rule 12(1) of the Cosmetics Rules, 2020, no Face Powder & Compact may be imported into India unless the product is registered by the Central Licensing Authority. The application is Form COS-1 on the CDSCO SUGAM portal, and the approval is issued as an Import Registration Certificate in Form COS-2 — it must be in place before the first consignment lands.

📋 Is CDSCO Registration Mandatory for Face Powder & Compact?

Yes. Face powder, compact and loose powder are Fourth Schedule colour / skin-care preparations and require CDSCO registration before import. The certificate covers the declared shades and formats.

The application is filed by the overseas manufacturer or, in practice, its Authorised Indian Agent.

📘 The Indian Standard in Detail

No product-specific Ninth Schedule Indian Standard applies to a face powder, so it is assessed against the country-of-origin standard plus the Cosmetics Rules, 2020, with the CoA drawn against the manufacturer's finished-product specification (appearance, fineness, pH of an aqueous slurry where relevant, and microbiological limits). The colourants are declared by CI number against IS 4707 (Part 1) and the Tenth Schedule.

Because most powders are talc-based, the defining safety document is an asbestos-free declaration and test report on the talc — cosmetic talc must be free of asbestiform minerals. Heavy metals on the pigments follow the general limits, and a loose powder carries an inhalation caution.

The Indian colour list is the only list that counts: a pigment permitted in the EU or US but not listed in IS 4707 (Part 1) and the Tenth Schedule will be refused. Map every Colour Index (CI) number to the Indian permitted list before you file.

🗂️ The Core Document Set — Required for Every Application

Whatever the product, Form COS-1 carries the same core dossier. Getting this base right is what decides whether the file clears in one pass or comes back as a query letter; the product-specific documents in the next section sit on top of it.

Extra Documents for Face Powder & Compact

On top of the core dossier above, a face-powder application needs:

⚗️ Composition & Safety Limits

Regardless of category, the finished cosmetic must respect the composition limits in the Cosmetics Rules, 2020. CDSCO checks these against the heavy-metal report or the manufacturer's undertaking:

Talc safety is the composition control unique to powders: cosmetic-grade talc must be asbestos-free, with a test report to prove it. Pigments follow the IS 4707 (Part 1) colour list and the general heavy-metal limits.

🏷️ Face Powder & Compact Label Requirements

In addition to the general Chapter VI requirements, face-powder labels are checked for these product-specific points:

⚖️ Talc, Asbestos and the Safety Document

Face powder is not a drug-classification risk, but it carries the most safety-sensitive raw material in colour cosmetics: talc. Cosmetic talc must be free of asbestos, and CDSCO expects a declaration and test report to that effect — a powder filed without it is a routine query. The colour list and heavy-metal limits apply as for any colour cosmetic.

Secure the asbestos-free talc report first, map every pigment to IS 4707 (Part 1), and declare each shade as a variant.

🛠️ Step-by-Step Registration Process

  1. Classify the productConfirm the article meets the definition of a cosmetic under Section 3(aaa) and is not a drug, then map it to the correct Fourth Schedule category — this drives both the fee and the certificate scope.
  2. Appoint the Authorised Indian AgentExecute the authorisation in the First Schedule format, signed jointly by manufacturer and agent on every page, then notarised and apostilled (Hague states) or attested by the Indian Embassy.
  3. Assemble the technical dossierIngredient list with percentages, specification and method of testing, finished-product test reports, inner and outer labels, GMP / ISO 22716 evidence and the Free Sale Certificate.
  4. Align the label to Chapter VIIndian labelling is one of the top rejection reasons. India-specific content may be stickered onto the unit pack at a bonded warehouse before clearance.
  5. Pay the fee on BharatkoshCompute the category, site and variant fees, pay online under head 0210041040000-00-1 and retain the acknowledgement receipt for upload.
  6. File Form COS-1 on SUGAMUpload the full checklist, including the correlation chart that ties each product serial number in COS-1 to the Free Sale Certificate and the authorisation.
  7. Respond to CDSCO queriesQueries typically concern apostille defects, Free Sale Certificate scope mismatch, ingredient limits and label non-compliance. Reply within the stipulated period, as each query restarts the effective clock.
  8. Receive Form COS-2Print the Registration Certificate number on every unit pack, alongside the holder's name and address, before the goods are cleared for sale.

💰 Government Fees

CDSCO cosmetic registration is priced under the Third Schedule and paid category by category, not as a single flat licence. The headline components are:

Each cosmetic category

USD 1,000 for the grant or retention of the Registration Certificate, per Fourth Schedule category.

Each additional category

USD 1,000 for every further category added to the same application.

Each variant

USD 50 for each shade, fragrance or formulation variant declared.

Each manufacturing site

USD 500 for every overseas manufacturing premises covered.

Fees are paid online through the Bharatkosh gateway under head of account 0210041040000-00-1, and the acknowledgement receipt is uploaded with the application. A duplicate certificate is USD 200, permission for a novel ingredient not previously used in India is USD 500, and inspection of an overseas manufacturing site, if ordered, is a further USD 5,000.

⏱️ Timeline & Validity at a Glance

4-6 monthsTypical Approval Time
5 yearsCertificate Validity
30 daysChange Notification
USD 1,000Per Category Fee

A complete, well-drafted application is typically cleared in about four to six months. The single biggest lever on that timeline is the quality of the first filing: every query CDSCO raises effectively restarts the clock, so a dossier that pre-empts the common objections is worth far more than one filed quickly and corrected later. The certificate is valid for five years and should be re-registered before expiry — an application filed after lapse is treated as a fresh registration, and a retention fee keeps the certificate alive across the term.

⚠️ Where Face Powder & Compact Applications Get Queried

Most face-powder queries concern talc, colour and shades:

🔗 Related Approvals Alongside CDSCO

CDSCO registration rarely travels alone. Depending on the product and the importer, plan for these adjacent approvals in parallel, because any one of them can hold a consignment at the port even when the CDSCO certificate is in order:

Post-Approval Obligations

The certificate is the start of an ongoing compliance duty, not the end of it. After grant, the registration holder must:

Confirm the current position before you file: This guide reflects the Cosmetics Rules, 2020 and CDSCO guidance as published and is current as at 2026. Fees, schedules, standards and CDSCO checklists are revised from time to time — verify the applicable standard, its current edition and the fee on the CDSCO portal, or with us, before drawing test reports or filing.

Frequently Asked Questions

Is CDSCO registration mandatory for imported face powder and compacts?

Yes. They are Fourth Schedule colour / skin-care preparations and cannot be imported until registered under Rule 12(1) of the Cosmetics Rules, 2020, with the certificate issued in Form COS-2.

Is there an Indian Standard for face powder?

No product-specific Ninth Schedule standard applies; the powder is assessed against the country-of-origin specification plus the Cosmetics Rules, with pigments on IS 4707 (Part 1).

What is the most important document for a talc powder?

An asbestos-free declaration and test report on the talc. Cosmetic talc must be free of asbestiform minerals, and CDSCO scrutinises this closely.

How are powder shades charged?

Each shade is a separate variant at USD 50 and must appear in the authorisation, the Free Sale Certificate and Form COS-1.

How long does registration take and how long is it valid?

Around four to six months for a complete application; the certificate is valid for five years and must be re-registered before expiry.

Do we need an Authorised Indian Agent?

In practice yes — the agent files on the First Schedule format and carries statutory liability for the product in India.

Face Powder & Compact Import Registration, Handled End to End

Global Approbation manages the complete CDSCO cosmetic registration for imported face powder & compact — classification, standard mapping, CoA and label review, dossier assembly and query response — so your first consignment clears without avoidable delay.

Talk to Our CDSCO Team Global Market Access