BSEOthers4 Aug 2026 · 4 Aug 2026, 03:55 pm
Regulation 30- Please find attached letter issued by the Company on news verification
Dabur India Ltd · 500096
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Dabur India Ltd clarifies on FSSAI's ban on '100%' claims on coconut water product, stating that the company's product labels comply with legal and regulatory framework and that it stands by the purity and quality of its products.
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Dabur India Ltd - 500096 - Rumour verification - Regulation 30(11)
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Ref: SEC/SE/2026-27
Date: August 04, 2026
To, India Ltd.
Corporate Relations Department Listing Department
BSE Ltd. National Stock Exchange of India Ltd.
Phiroze Jeejeebhoy Towers Exchange Plaza, 5th Floor
Dalal Street, Plot No. C/1, G Block, Bandra Kurla Complex
Mumbai- 400001 Bandra (E), Mumbai - 400051
BSE Scrip Code: 500096 NSE Scrip Symbol: DABUR
Sub: Re ulation 30 of SEBI Listin Obli ations and Disclosure Re uirements
Re ulations 2015 "Listin Re ulations" : Clarification/Confirmation on news item
a earin in htt s://mone control. com
Ref: Recent news item which a eared in httjs://mone control. com dated Au ust 4 2026
uotin "Dabur India shares dro 2.42% after FSSAI bans'100%'claims on hone hee
coconut water"
Dear Sir/Madam,
This is with reference to emails dated August 4, 2026 received from NSE and BSE regarding
clarification/confirmation sought on the recent news appeared in htt s://mone control. com and
other mainstream media on August 4, 2026. In this regard, we hereby provide the following
clarification on the aforesaid news item:
Dabur India Limited ("the Company") believes that the declaration on our product labels comply
with the prevailing legal and regulatory framework and are consistent with long-standing industry
practices. Dabur stands by the purity and quality of its products and has never made any
misleading claims.
S ecific res onse on the clarifications sou ht b ou re ardin the aforesaid Publication is
rovided hereunder:
a) Whether such negotiations/events were taking place? If so, you are advised to provide the
said information along with the sequence of events in chronological order from the start of
negotiations/events till date:
Earlier also a notice dated April 8, 2026 was issued by FSSAI alleging use of "100% Pure"
specifically in relation to one of the product. The Company suitably responded by clarifying
that no such claim of" 100% Pure'is being used on the objected product label.
We are exploring options in relation to the prohibitory order dated August 3, 2026 received
from FSSAI by the Company on August 3, 2026 at 7 p.m. However, as a good corporate
citizen, Dabur had already initiated transitioning of the product labels as mentioned in the
FSSAI letter to new labels/advertisements without the 100% claim. Most product labels/
advertisements/ website as mentioned in aforesaid order, have either already transitioned
DABUR INDIA LIMITED, Punjabi Bhawan, 10, Rouse Avenue, New Delhi-110 002, Tel.: +91 11 71206000
Regd. Office:8 /3, AsafAli Road, NewD elhi- 1100 02 (India)
GIN: L24230DL1975PLC007908,E mail: corpcomm@dabur.com, Website:w ww.dabur.com
in la Lt .
or are in the process of transition. The Company is responding accordingly to FSSAI and
the Company will continue to engage constructively with them to resolve the matter.
We reiterate that Daburs tands by the purity and highests tandardso f quality of its products
and does not make any misleading claims.
b) Whether you/company are aware of any information that has not been announced to the
Exchanges which could explain the movement in the trading, if any? Further, you are
advised to provide the said information and the reasons for not disclosing the same to the
Exchange earlier as required under Regulation 30 of the SEBI (LODR) Regulations, 2015:
We wish to inform you that all material information that may have a bearing on the
Operations/ performance of the Company, which includes all the necessary disclosures in
accordance with Regulation 30 of the Listing Regulations have been regularly disclosed
to the Stock Exchanges by the Company in a timely and accurate manner, in conformity
with the principles governing disclosures and obligations.
The Company has been and continues to be fully compliant with the disclosure
requirements prescribed under the Listing Regulations and shall make appropriate
disclosures to the Stock Exchanges in the event of any material development, in
accordance with the applicable regulatory requirements.
c) Incase of regulatory/ legal proceedings please provide the information on initiation/
outcome of the proceedings:
The Company is seeking legal advice on the future course of action.
d) The material impact of this article on the Company:
The news article pertains to the use of the word "100%" in the packaging/labelling of
Company's few products and restriction on sale of products as mentioned in the notice.
The notice relates only to the interpretation of the product description and does not allege
or question the quality, safety, purity or standards of the products manufactured and
marketed by the Company.
The Company continues to maintain the highest standards of quality, food safety and
regulatory compliance in the manufacture and sale of its products.
The impact on the Company's business operations, financial position or performance is
limited to objected food products only.
DABUR INDIAL IMITED,P unjabi Bhawan, 10, Rouse Avenue, NewD elhi-1100 02, Tel.: +91 11 7120600
Regd. Office: 8/3, AsafAII Road, New Delhi -110 002 (India)
CIN: L24230DL1975PLC007908,E mail: corpcomm@dabur.com, Webslte: www.dabur.com
We trust the above clarifies the matter. This is for your information and records.
The aforementioned information is also available on the website of the Company at
www.dabur.com.
Thanking You,
Yours faithfully,
For Dabur India Limited
(Ashok mar Jain)
Group Company Secretary and Chief Compliance Officer
DABUR INDIA LIMITED, Punjabi Bhawan, 10, Rouse Avenue, New Delhi-110 002, Tel.: +91 11 7120600(1
Regd. Office: 8/3, AsafAli Road. New Delhi -110 002 (India)
CIN: L24230DL1975PLC007908,E mail: corpcomm@dabur.com, Website:w ww.dabur.com