Introduction to Compliance with FDA Labeling and Advertising Requirements
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1 Introduction to Compliance with FDA Labeling and Advertising Requirements Second Annual Pharmaceutical Industry Regulatory and Compliance Summit Dick Kenny
2 FDA History Basic function of government Oldest and most comprehensive consumer safety agency FDA regulates about 25 percent of consumer economy; budget of only approximately $1billion
3 FDA Place in Government Part of Public Health Service within Department of Health and Human Services Statutory creation in 1988 (section 903) Relatively -- but not completely -- free of political influence by Administration Intense congressional oversight
4 FDA Mission To promote the public health through timely approvals To protect the public health through enforcement of the law Fundamental tension Agency employees take jobs seriously, have enormous practical power
5 Statutory Framework History Responses to public health crises PDUFA and FDAMA exceptions 1938 Act Definitions Prohibited acts Substantive requirements Rulemaking and miscellaneous provisions
6 Regulations and Guidances Title 21 of the C.F.R. Guidance documents, letters to industry, enforcement letters, internal manuals, etc.
7 The Compliance Challenge Appropriate business rationale FDA issues ACCME issues AMA Guidelines on Gifts to Physicians Fraud and abuse Best price Product liability Lanham Act
8 Definitions Labeling Advertising Non-promotional communications
9 Definition of Labeling All labels and other written, printed or graphic matter (1) upon any article or any of its containers or wrappers, or (2) accompanying such article Section 201 (m) Accompanying has a broad meaning U.S. v. Kordel, 335 U.S. 345 (1948)
10 Labeling Revisited FDA holds that labeling encompasses Any written, printed or graphic material Containing drug information Disseminated by or on behalf of the manufacturer of that drug For use by healthcare professionals
11 Examples of Labeling Brochures, detail pieces, bulletins Literature reprints Films, videos, CD-ROM disks PowerPoint presentations Homemade sales aids Automated telemarketing Press releases
12 Definition of Advertising Not defined in statute 1938 Act conferred jurisdiction over all advertising of all FDA-regulated products on FTC 1962 Amendments transferred jurisdiction for advertising of Rx drugs only to FDA Change was in response to FDA s lack of power to control this advertising
13 Labeling vs. Advertising FDA regulation purports to distinguish them 21 C.F.R (l) Advertising means advertisements in publications or broadcast through audiovisual media such as radio, television, and telephone communication systems Labeling is everything else!
14 Oral Statements as Labeling FDA has asserted that oral statements by sales representatives are labeling Never litigated FDA has asserted that speeches in CME programs and lectures are labeling Never litigated
15 Non-Promotional Communications Responses to unsolicited requests Support for continuing medical education Reporting scientific results Market research Meetings with investigators and consultants
16 Requirements for advertising and promotional labeling Claims must be consistent with prescribing information No false or misleading statements or omissions Materials must fairly balance benefits and risks Substantiation Labeling accompanied by prescribing information; ads must include brief summary
17 Consistency With Prescribing Information Approved conditions of use, including Indications Dosages Patient populations Effectiveness and safety claims Responses to unsolicited requests Pre-approval promotion (IND regulations 21 C.F.R )
18 Consistency (continued) FDAMA process for off-label reprints Supplement requirement Prior submission to FDA Washington Legal Foundation litigation
19 Truthful and Not Misleading A drug is misbranded if its labeling is false or misleading in any particular (Section 502 (a)) True statements can be misleading (e.g., if they lack clinical significance) Material omissions can make otherwise true representations misleading (Section 201 (n)) Disclaimers can be inadequate Requirements apply to all reasonable interpretations of a claim Checklist in advertising regs. (section 202.1)
20 How Claims Can Mislead Factors that make claims misleading: Lack of adequate basis for comparative claims Reliance on inadequate studies Manipulation of data, statistical analysis Lack of sufficient emphasis on adverse effect information Promotion of uses beyond approved NDA
21 Fair Balance Balanced presentation of safety and effectiveness information Applies to entire piece and to individual segments Comparable prominence and readability
22 Substantiation Claims must be supported by substantial evidence Ordinarily, adequate and well-controlled head-to-head studies are required; Number needed In vitro comparisons Insert-to-insert comparisons
23 Substantiation (continued) Clinical study design issues (e.g., power, blinding, dosages, concomitant therapies) Presentation of results Clinical and statistical significance required Other principles also apply (e.g., consistency with prescribing information) Healthcare economics
24 Direct to Consumer Advertisements DTC ads for Rx products subject to same requirements Print advertisements (brief summary) Broadcast advertisements Must have information about major side effects and contraindications Must present brief summary or make adequate provision for dissemination of full product labeling Effect on learned intermediary doctrine
25 Mandatory Advertising Contents Drug is misbranded if advertising fails to contain: Established name Ingredient information Brief summary of side effects, contraindications, and effectiveness Reminder advertisements
26 FDA Review of Promotion and Advertising Advertising and promotional labeling are generally not pre-approved but submitted at time of first use Exceptions: launch materials; accelerated approval; FDA special requirement FDA relies on after-the-use enforcement to address violations
27 Enforcement FDA s enforcement tools Untitled letters Warning letters Corrective advertising Dear healthcare professional letters Preclearance Consent decrees Criminal penalties
28 Enforcement What FDA looks for Product specific Recurring deviations Consistent theme across different media Level of public health risk Company Recurring deviations across product lines
29 Enforcement FDA monitoring Review of materials submitted by company at first use Complaints from competitors, health care professionals, plaintiff lawyers Media surveillance Attend healthcare professional meetings
30 Current Issues First Amendment law Dissemination of reprints for unapproved uses FDAMA Recent court cases Preapproval promotion and advertising Internet promotion Scientific and educational activities
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