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India has added fresh plant-quarantine conditions for two agricultural products coming from Uzbekistan: pomegranate and fresh chilli.
The Ministry of Agriculture and Farmers Welfare, through the Department of Agriculture and Farmers Welfare, has issued two separate amendments to the Plant Quarantine (Regulation of Import into India) Order, 2003. One amendment covers Punica granatum, or pomegranate, while the other deals with Capsicum annuum, or chilli.
The change is quite specific. It does not create a general rule for every fruit or vegetable coming from Uzbekistan. Instead, new entries have been added to Schedule VI for these two products. Each entry tells importers which pest or disease declarations must appear in the phytosanitary certificate and what special condition the consignment must satisfy.
For businesses importing agricultural produce, this means the paperwork cannot be handled as a routine formality. The exact product, country of origin and declaration mentioned in Schedule VI now matter even more.
| Particular | Details |
| Issuing authority | Central Government |
| Ministry | Ministry of Agriculture and Farmers Welfare |
| Department | Department of Agriculture and Farmers Welfare |
| First notification | S.O. 4929(E) |
| Second notification | S.O. 4930(E) |
| Notification date | S.O. 4930(E) |
| Gazette issue date | 7 September 2026 |
| Governing law cited | Destructive Insects and Pests Act, 1914 |
| Principal Order amended | Plant Quarantine (Regulation of Import into India) Order, 2003 |
| Schedule affected | Schedule VI |
| Products covered | Pomegranate and fresh chilli |
| Country of origin | Uzbekistan |
| Pomegranate serial number | 563 |
| Chilli serial number | 67 |
| Effective date | Date of publication in the Official Gazette |
The two notifications appear in the same Gazette issue, but they deal with different products and different plant-health conditions. The notification date is 31 August 2026, while the Gazette issue itself is dated 7 September 2026. Each Order says it takes effect from the date of publication in the Official Gazette.
The notifications have been issued under the Destructive Insects and Pests Act, 1914. They further amend the Plant Quarantine (Regulation of Import into India) Order, 2003.
For an importer, the part that matters most here is Schedule VI.
Schedule VI contains product- and origin-specific entries. These entries can identify:
The 2026 amendments do not replace the entire Schedule. They add new Uzbekistan-specific entries under existing serial numbers for pomegranate and chilli.
That difference matters. This is not a complete rewrite of India's plant-quarantine system. It is a targeted change concerning two particular agricultural products.
The Government has made two distinct changes.
S.O. 4929(E): Pomegranate
S.O. 4929(E) is the Plant Quarantine (Regulation of Import into India) (Eighth Amendment) Order, 2026.
It adds an entry under Serial No. 563 for:
The entry also lists four organisms from which the consignment must be declared free and gives a separate cleanliness-related condition.
S.O. 4930(E): Fresh Chilli
S.O. 4930(E) is the Plant Quarantine (Regulation of Import into India) (Ninth Amendment) Order, 2026.
It adds an entry under Serial No. 67 for:
For this product, the declaration covers two listed plant-health concerns rather than four.
Only two product entries are covered by these amendments.
| Product | Botanical Name | Category | Origin | Schedule VI Serial No. |
| Pomegranate | Punica granatum | Fruits for consumption | Uzbekistan | 563 |
| Chilli | Capsicum annuum | Fresh vegetable for consumption | Uzbekistan | 67 |
This should not be read as a blanket approval or common set of conditions for all fruits and vegetables coming from Uzbekistan.
The product name, botanical name, category and origin all form part of the relevant entry.
The pomegranate entry is more detailed because it identifies four specific pests or diseases.
Product and Origin Covered
The amended Schedule VI entry applies to:
Punica granatum (Pomegranate)
It covers:
This distinction should be kept intact when reviewing documentation. The amendment is tied to this particular plant species, product category and country.
Pest and Disease Declaration
The phytosanitary certificate must contain an additional declaration showing that the pomegranate is free from:
1. Euzophera bigella
The Gazette identifies it as Quince moth.
2. Lobesia botrana
The common name given in the Gazette is European grapevine moth.
3. Pseudococcus comstocki
The Gazette identifies it as the comstock mealybug.
4. Botrytis cinerea
This is listed as Grey mould disease.
The first part of the list appears in the Schedule VI table, while the fourth organism continues on the next page.
For an importer, the main point is not simply that the consignment should be "pest-free." The Schedule names the organisms that must be covered by the additional declaration.
Special Condition for the Pomegranate Consignment
The same entry also requires the pomegranate consignment to be free from:
These three conditions should be read together.
The weed-seed requirement is specifically stated for pomegranate. This becomes important when comparing it with the fresh chilli entry.
Fresh chilli has a separate requirement under Serial No. 67.
Product and Origin Covered
Which Pests and viruses must be covered?
The phytosanitary certificate must carry an additional declaration that the chilli is free from:
Aculops lycopersici
The Gazette identifies this as Tomato russet mite.
Tomato brown rugose fruit virus
Special Condition for Fresh Chilli
The chilli must be free from:
Unlike pomegranate, the new chilli entry does not mention weed seeds.
That small difference is easy to overlook when one team handles documentation for both products.
The phytosanitary certificate is one of the most important documents to check under these amendments because the Gazette specifically states which additional declarations must be incorporated into it.
| Product | Additional Declaration Required | Special Condition |
| Pomegranate | Free from Euzophera bigella, Lobesia botrana, Pseudococcus comstocki and Botrytis cinerea | Free from plant debris, weed seeds and soil |
| Fresh chilli | Free from Aculops lycopersici and Tomato brown rugose fruit virus (ToBRFV) | Free from plant debris and soil |
The difference between the two rows is commercially important.
A business importing both products should not rely on a single generic phytosanitary checklist. The pomegranate declaration contains four named organisms, while the chilli declaration contains two.
A document review before dispatch can therefore be useful as an internal control. The amendment itself does not create a separate pre-shipment approval process.
For pomegranate, the Schedule does not use a broad phrase such as "free from harmful pests." It names four specific organisms.
That means the declaration should be checked against the exact entry applicable to the product.
Importers may want to confirm that:
These checks are practical compliance controls. They should not be presented as a separate government filing procedure created by the notification.
The Ninth Amendment expressly names Tomato brown rugose fruit virus (ToBRFV) in the fresh chilli entry.
For the specified chilli imported from Uzbekistan, the phytosanitary declaration must address freedom from:
The amendment does not separately state:
Those details should not be added to the article as requirements arising from S.O. 4930(E) unless another applicable official rule supports them.
The country of origin is common to both entries, but almost everything else needs a product-wise check.
| Particular | Eighth Amendment | Ninth Amendment |
| Notification | S.O. 4929(E) | S.O. 4930(E) |
| Commodity | Pomegranate | Fresh chilli |
| Botanical name | Punica granatum | Capsicum annuum |
| Schedule VI serial | 563 | 67 |
| Material category | Fruits for consumption | Fresh vegetable for consumption |
| Origin | Uzbekistan | Uzbekistan |
| Number of listed pest/disease declarations | Four | Two |
| Plant debris condition | Yes | Yes |
| Weed seed condition | Yes | Not stated |
| Soil condition | Yes | Yes |
| Commencement | Publication in Official Gazette | Publication in Official Gazette |
This is why importers should avoid treating the two amendments as one identical compliance package.
The legal change has been made by inserting additional entries under existing plant species.
Serial No. 563: Pomegranate
Under the existing entry for Punica granatum, an Uzbekistan-specific entry has been added for fruits for consumption.
The new row sets out:
Serial No. 67: Chilli
Under the existing entry for Capsicum annuum, a new Uzbekistan-specific row has been inserted for fresh vegetables for consumption.
It provides:
The wording in both amendments says the new entries are to be inserted after the existing entries. It does not say that the entire serial-number entry has been substituted or deleted.
The date issue needs careful reading.
Both notifications are dated 31 August 2026.
However, each Order states that it comes into force on the date of its publication in the Official Gazette. The Gazette issue carrying these notifications is dated 7 September 2026.
The amendments do not separately provide:
For internal compliance records, businesses should therefore keep the notification date and the publication-based commencement clause separate.
A short product-wise review can prevent the two sets of conditions from getting mixed up.
Step 1: Confirm the Exact Commodity
Check whether the shipment contains:
Do not rely only on a broad commercial description such as "fresh produce."
Step 2: Confirm the Origin
These amendments deal specifically with Uzbekistan.
The same plant imported from another country may be covered by a different Schedule entry.
Step 3: Check the Correct Serial Number
Use:
Step 4: Match the Phytosanitary Declaration
For pomegranate, check all four listed organisms.
For chilli, check:
Step 5: Check the Physical Cleanliness Conditions
For pomegranate:
Step 6: Share the Requirement With the Supplier
Overseas suppliers may handle shipments for different countries. Sending the applicable Indian Schedule VI requirement before dispatch can help avoid confusion.
Step 7: Review the Documentation Before Dispatch
This is a sensible internal practice, particularly where the shipment value, timing or perishability makes later correction difficult.
The Gazette does not describe this as a separate statutory filing step.
For suppliers, the key issue is product-specific documentation.
A supplier handling pomegranate for India should know that the required declaration is not the same as the chilli declaration.
The supplier should pay attention to:
The Gazette does not explain Uzbekistan's internal process for issuing the phytosanitary certificate, so that process should not be assumed from these amendments.
| Compliance Point | Pomegranate | Fresh Chilli |
| Botanical name | Punica granatum | Capsicum annuum |
| Category | Fruits for consumption | Fresh vegetable for consumption |
| Origin | Uzbekistan | Uzbekistan |
| Schedule VI serial | 563 | 67 |
| Euzophera bigella | Required | Not listed |
| Lobesia botrana | Required | Not listed |
| Pseudococcus comstocki | Required | Not listed |
| Botrytis cinerea | Required | Not listed |
| Aculops lycopersici | Not listed | Required |
| ToBRFV | Not listed | Required |
| Free from plant debris | Yes | Yes |
| Free from weed seeds | Yes | Not stated |
| Free from soil | Yes | Yes |
This matrix is useful for import, procurement and compliance teams because it shows the two requirements side by side without mixing them.
For businesses importing pomegranate from Uzbekistan, the main change is clarity around the exact Schedule VI conditions.
The importer now needs to pay attention to:
The compliance review therefore needs to go beyond checking whether a phytosanitary certificate has been issued. The contents of the certificate need to correspond with the applicable entry.
For chilli importers, the requirement is shorter but equally specific.
The focus is on:
The weed-seed condition should not be copied from the pomegranate row because it is not stated for the new chilli entry.
The change may affect day-to-day import planning more than it appears at first glance.
Supplier Instructions May Need Updating
Businesses sourcing from Uzbekistan may need to update supplier instructions to reflect the Indian phytosanitary wording for each commodity.
Documentation Needs a Product-Wise Check
A generic checklist may no longer be enough where both commodities are imported.
The compliance team should know which pest list belongs to which product.
Procurement Teams Have a Clearer Reference
For covered shipments, procurement teams can now point suppliers to a defined Schedule VI entry rather than working with a broad plant-quarantine reference.
Uzbekistan Becomes a Defined Source Under These Entries
The amendments create clearly stated plant-quarantine conditions for the covered commodities from Uzbekistan. That may support sourcing discussions, but it does not automatically mean imports will increase, prices will fall, or clearance will become faster.
Those would be commercial outcomes, not legal conclusions from the Gazette.
The amendments are short, but there are several places where an internal checklist can go wrong.
Using the Wrong Product Entry
The chilli and pomegranate requirements are separate.
Missing One Pomegranate Declaration
All four named organisms should be checked against the applicable declaration.
Copying the Weed-Seed Condition to Chilli
The chilli row refers to plant debris and soil. Weed seeds appear in the pomegranate entry.
Ignoring Country of Origin
The new rows specifically concern Uzbekistan.
Using an Old Internal Compliance Sheet
A procurement or compliance file created before the amendment may not reflect the new Uzbekistan entries.
Treating Every Uzbek Fruit or Vegetable the Same
The notifications do not create a common rule for all agricultural products from Uzbekistan.
Confusing the Notification Date With the Commencement Clause
The Orders are dated 31 August 2026 but state that they take effect from Gazette publication.
From a trade perspective, the amendment gives Indian importers and Uzbek suppliers a clearer regulatory reference for these two commodities.
That can make early-stage commercial discussions easier because the Indian plant-health conditions are now stated against the relevant product-country combinations.
Possible business effects may include:
These are possible commercial effects. The Gazette does not provide trade-volume projections, import targets or market-size estimates.
The amendments may offer a few practical advantages.
Clearer Import Conditions
Importers can see exactly which pest or disease declarations apply.
Better Supplier Communication
The conditions can be shared with the overseas supplier before the shipment is prepared.
Product-Wise Compliance Planning
Pomegranate and chilli can be handled through separate internal checklists.
Better Documentation Control
Compliance teams have a specific Schedule VI reference for each commodity.
Potential Sourcing Diversification
Uzbekistan may be considered a source for the covered products, provided the applicable conditions are met.
None of these benefits amounts to a guarantee of faster clearance, lower costs or commercial success.
Exact Certificate Wording
The biggest practical concern is often not whether a certificate exists, but whether it contains the declaration applicable to the specific product.
Coordination Across Teams
Procurement, import, compliance and overseas supplier teams may all be involved in preparing a shipment. If one team uses an old checklist, the document set can become inconsistent.
Different Conditions for Similar Trade Routes
Both products come from Uzbekistan, but their requirements differ. That makes product-level review necessary.
Maintaining Current Regulatory References
Schedule VI can be amended over time. Businesses relying on old reference sheets need a process to update them when new notifications are issued.
The amendment has both regulatory value and a practical compliance cost.
| Perspective | Positive Side | Possible Burden |
| Plant quarantine | Pest and disease conditions are clearly identified | Businesses must match exact declarations |
| Importers | Defined requirements for the Uzbekistan route | More document checking may be needed |
| Suppliers | Indian conditions are clearer | Certificates need destination-specific attention |
| Procurement teams | Easier to build a product-specific checklist | Internal processes may need updating |
| Trade | Sourcing route becomes more clearly defined | Access still depends on compliance with conditions |
From the regulatory side, the logic is straightforward. Plant quarantine rules are built around controlling the risk associated with imported plant material, and these entries spell out the organisms and cleanliness conditions to be addressed.
From the business side, the amendment does create extra checking work. But a clear rule is generally easier to manage than an unclear one. Importers know which product is covered, which declaration applies and where the pomegranate and chilli requirements differ.
The real burden is likely to depend on how early the importer and supplier coordinate the shipment documents.
| Priority | Recommended Action | Team | When | Purpose |
| High | Confirm the commodity and botanical name | Import/Compliance | Before ordering | Identify correct entry |
| High | Verify Uzbekistan as the country of origin | Procurement | Before shipment | Confirm applicability |
| High | Check Schedule VI serial number | Compliance | Before documentation | Use correct requirement |
| High | Share pest/disease conditions with supplier | Procurement | Before certificate preparation | Avoid declaration mismatch |
| High | Review phytosanitary certificate wording | Compliance | Before dispatch | Check product-specific declaration |
| Medium | Confirm cleanliness conditions | Quality/Supplier | Before dispatch | Address special condition |
| Medium | Update internal import checklist | Compliance | Promptly | Keep records current |
| As needed | Seek regulatory assistance | Management/Compliance | Where interpretation is unclear | Reduce compliance uncertainty |
These are recommended internal controls based on the amended entries. They should not be described as a new government application process unless another rule expressly creates such a process.
Agricultural imports often involve more than finding a supplier and arranging logistics. Importers need to identify the correct product entry, check the applicable plant-quarantine conditions, and make sure the supporting documents match the shipment.
Corpseed's Plant Quarantine Compliance Services in India can support businesses where regulatory interpretation, documentation or import planning needs closer review.
1. Plant Quarantine Applicability Review
Corpseed can assist businesses in checking which plant-quarantine condition applies to the proposed commodity and country of origin.
This can be useful where the same plant is imported in different forms or from more than one country.
2. Phytosanitary Requirement Review
The applicable Schedule entry can be reviewed to identify:
This helps businesses understand what needs attention before relying on the shipment paperwork.
3. Import Documentation Support
Corpseed can support importers with the regulatory review of documents connected with the proposed import.
The objective is to identify obvious inconsistencies before they become part of the final shipment file.
4. Agricultural Import Compliance Support
Businesses dealing with plant, fruit or vegetable imports may require a broader regulatory review depending on the product and origin.
Corpseed's Import Compliance Services in India can support companies in understanding the applicable regulatory position rather than relying only on supplier assumptions.
5. Supplier Documentation Coordination
Where suppliers are based outside India, the Indian importer may need to communicate destination-specific conditions clearly.
Professional review can help the importer identify what should be checked before documentation is finalised.
6. Regulatory Update Support
Plant-quarantine requirements can change through subsequent amendments and notifications.
Businesses handling regular imports may benefit from keeping their internal product-wise compliance references updated rather than relying on older shipment files.
Corpseed can support importers looking for Plant Quarantine Compliance Services in India, phytosanitary compliance review, import documentation support and broader agricultural import compliance assistance.
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