
WHAT IS CONSIDERED AN INFRACTION IN THE COCA LEAF TRADE?
An infraction refers to any breach or violation committed during the transport, purchase, or sale of coca leaf—even when these activities are carried out by authorized individuals or entities such as licensed producers, retailers, industrialization companies, or research centers.
MINOR INFRACTIONS IN LEGAL COCA LEAF TRADE
Minor infractions are common errors that do not significantly affect product control but do breach administrative procedures.
Examples:
- Altering or erasing data on packaging bags (e.g., manually changing the recipient’s name)
- Missing stamps on the route sheet (e.g., omitting an intermediate checkpoint stamp)
- Loss or theft of the route sheet without proper justification
- Failing to collect coca within the permitted time (e.g., leaving bundles at the authorized market beyond one business day)
- Operating a sales post without the required documentation (e.g., selling without a commercial license or route sheet)
Sanctions:
- Fines ranging from 50 to 400 Bolivianos, depending on repeat offenses
- Companies pay fines per bundle, and after the fifth offense, permanently lose their right to industrialize coca
MAJOR INFRACTIONS IN COCA LEAF COMMERCIALIZATION IN BOLIVIA
These infractions compromise state control and the legal destination of coca, potentially leading to diversion or stockpiling.
Examples:
- Selling excessive amounts to a single buyer (exceeding legal purchase limits)
- Purchasing or accumulating more coca than allowed under the monthly quota
- Storing coca in unauthorized locations (e.g., in a private residence)
- Delegating sales to someone else without written authorization
- Using expired authorizations to transport coca
- Obstructing inspections at an industrialization facility
- Transporting coca without documentation or outside authorized routes—considered diversion
Sanctions:
- Suspension of commercialization rights for 2 to 6 months, depending on recurrence
- Progressive confiscation of retained coca (from 20% to 100%)
- Permanent suspension after the fourth major infraction
VERY SERIOUS INFRACTIONS IN COCA LEAF TRADE IN BOLIVIA
These violations represent a complete breach of the legal regime and systematic misuse or diversion of coca from its authorized purpose.
Examples:
- Not commercializing coca for over 12 months without justified cause
- Using coca for unauthorized purposes in industrial or research projects
- Halting industrialization activities for more than 6 months
Sanctions:
- Permanent suspension of the right to commercialize or use coca
- Total confiscation, as applicable
HOW THE SANCTIONING PROCEDURE WORKS FOR COCA LEAF INFRACTIONS
Sanctions are imposed through an administrative procedure carried out by the Vice Ministry of Coca and Integral Development, in accordance with Bolivia’s general administrative procedures. If multiple infractions are detected, only the most severe sanction is applied; however, all violations are recorded in the SISCOCA system.
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Frequently Asked Questions (FAQs)
What happens if I lose my route sheet?
It is classified as a minor infraction and may result in a fine, depending on whether it is a first-time or repeated offense.
Can I sell coca leaf anywhere?
No. Sales are only allowed at authorized markets and designated sales posts.
What is considered “diversion” of coca?
Transporting coca leaf outside the established routes or control points is considered a serious infraction known as diversion.
What is the penalty for using an expired authorization?
Suspension of commercialization rights, with increasing duration for each recurrence.
Which authority imposes sanctions on coca leaf trade infractions?
The Vice Ministry of Coca and Integral Development, following the established administrative procedure.
- Viceministerio de Coca y Desarrollo Integral. (n.d.). Reglamento sobre infracciones y sanciones en el manejo de hoja de coca.
- Constitución Política del Estado Plurinacional de Bolivia.
- Ley N.º 2341 de Procedimiento Administrativo.
- Reglamento de la Ley Nº 906, General de la Coca, DS Nº 3318, 6 de septiembre de 2017.
The content of this article does not reflect the technical opinion of Rigoberto Paredes & Associates and should not be considered a substitute for legal advice. The information presented herein corresponds to the date of publication and may be outdated at the time of reading. Rigoberto Paredes & Associates assumes no responsibility for keeping the information in this article up to date, as legal regulations may change over time.
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