It is very common for bodybuilders to use veterinary steroids for a precontest cycle. Since they are typically assimilated quickly, they do the best work in the shortest amount of time, and are generally out of the system relatively fast in comparison to other ‘roids. And, believe it or not, usually people see fewer side effects when using vet products than when using human ones. Why take anything else? Maybe not ‘why take anything else’, but why not include veterinary steroids, in one form or another, in every cycle? In my mind, veterinary drugs should really be everyone’s choice for extreme condition and definition. They combine well with androgens and other anabolics as well as any drug in the human realm of anabolic steroids. The only problem, these days anyway, is availability. You can find them in Mexico, but you risk fakes, counterfeits, lower quality, or lower dose per ml. You also, of course, face the possibility that you’ll be stopped.
Structure/function claims have historically appeared on the labels of conventional foods and dietary supplements as well as drugs. The Dietary Supplement Health and Education Act of 1994 (DSHEA) established some special regulatory requirements and procedures for using structure/function claims and two related types of dietary supplement labeling claims, claims of general well-being and claims related to a nutrient deficiency disease. Structure/function claims may describe the role of a nutrient or dietary ingredient intended to affect the normal structure or function of the human body, for example, "calcium builds strong bones." In addition, they may characterize the means by which a nutrient or dietary ingredient acts to maintain such structure or function, for example, "fiber maintains bowel regularity," or "antioxidants maintain cell integrity." General well-being claims describe general well-being from consumption of a nutrient or dietary ingredient. Nutrient deficiency disease claims describe a benefit related to a nutrient deficiency disease (like vitamin C and scurvy), but such claims are allowed only if they also say how widespread the disease is in the United States. These three types of claims are not pre-approved by FDA, but the manufacturer must have substantiation that the claim is truthful and not misleading and must submit a notification with the text of the claim to FDA no later than 30 days after marketing the dietary supplement with the claim. If a dietary supplement label includes such a claim, it must state in a "disclaimer" that FDA has not evaluated the claim. The disclaimer must also state that the dietary supplement product is not intended to "diagnose, treat, cure or prevent any disease," because only a drug can legally make such a claim. Structure/function claims may not explicitly or implicitly link the claimed effect of the nutrient or dietary ingredient to a disease or state of health leading to a disease. Further information regarding structure/function claims can be found in FDA's January 9, 2002 Structure/Function Claims Small Entity Compliance Guide .