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DirecttoConsumer Advertising Legal and Regulatory Limitations

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Title: DirecttoConsumer Advertising Legal and Regulatory Limitations


1
Direct-to-Consumer AdvertisingLegal and
Regulatory Limitations
Pam Weagraff Founder and Principal
2
Overview
  • Why do we care?
  • Memory Lane and the Advent of Direct to Consumer
    Advertising (DTC)
  • FDA Guidance on Direct to Consumer Advertising
  • Lessons Learned . . . .

3
Why do we care?
  • Fundamental Issue for Advertising in Med Tech
    Industry Today
  • Activity afoot in pharmaceutical industry
  • Industry discussion of submitting all advertising
    to FDA
  • Reaction of consumers to DTC
  • FDA attention to DTC

4
Memory Lane . . . Basic Constitutional Authority
  • First Amendment -- Congress shall make no law
    abridging the freedom of speech

5
Basic Statutory Authority
  • 201 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
  • representations made or suggested by statement,
    word, design, device, or any combination thereof,
    or the extent to which the labeling or
    advertising fails to reveal material facts
    material
  • 301 Prohibited Acts and PenaltiesThe
    adulteration or misbranding of any food, drug,
    device, or cosmetic in interstate commerce.

6
Basic Statutory Authority502 (21 U.S.C. 352)
  • A drug or device shall be deemed to be
  • misbranded(a) If its labeling is false or
    misleading in any particular.
  • FDA looks to the intended use of a product

7
Basic Regulatory Authority 21 CFR 801.4
Intended Use
  • Held responsible for the intended uses for
    which company promotes product
  • Objective intent of the persons legally
    responsible for the labeling
  • Determined by such persons expressions or may be
    shown by the circumstances surrounding the
    distribution of the article
  • May be shown by labeling claims, advertising
    matter, or oral or written statements by such
    persons or their representatives

8
Basic Regulatory Authority 21 CFR 801.6
Misbranding
  • Labeling or advertising that is false, misleading
    or lacking in fair balance
  • Labeling that lacks adequate directions for use
  • Failure to include brief statement in restricted
    device and drug advertising

9
Advent of DTC 1
  • 1983 - First DTC Ad for pain reliever Rufen
    kicks off 22 year transformation of
    pharmaceutical marketing
  • 1989 12 M in DTC advertising compared to 4 B in
    2004
  • Ads fuel breakthrough medicines into blockbusters
  • Too late to put the genie back in the bottle . .
    . David Kessler, former FDA Commissioner

1 San Francisco Chronicle Susan Todd, May 22,
2005
10
DTC Gains Momentum 1
  • Push to Pull Marketing Strategy sales reps /
    physicians replaced by consumer demands for drugs
    by name, e.g., Claritan
  • FDA Treatment of Television Commercials
  • Up until 1997, guidelines same as print ads which
    were 30 to 40 years old, required to show lengthy
    information and potential risks, led to
    reminder ads
  • TV ads exempted from lengthy information brief
    information requirement

11
The Revolution Continues
  • Advantage Increased publics awareness and
    thereby involvement in healthcare
  • Disadvantage
  • Consumers potentially taking too many drugs and
    or those heavily advertised
  • Communicate in sound bites versus scientific
    facts
  • Catalyst for Change hyper-advertised Cox II pain
    medicines and erectile dysfunction drugs
  • Proposed legislation to limit DTC until drug on
    the market for two years
  • PHARMA code of conduct for DTC

12
Consumer-Directed Advertising of Restricted
Devices 2/10/04
  • Brief Statement Requirement per 21 U.S.C. 352
    (r)(2) . . . intended uses of the device and
    relevant warnings, precautions, side effects and
    contraindications

13
Consumer-Directed Advertising of Restricted
Devices 2/10/04
  • FDAs Presumption about Advertising
    consumer-friendly language
  • Not false or misleading
  • Balanced presentation of effectiveness and risk
    information
  • Thorough major statement including most important
    warnings, precautions, side effects and
    contraindications
  • All information relevant to devices indication,
    including brief intended use statement, and any
    limitations

14
Brief Statement - Disclosure
  • Operating toll-free number with choice of . . .
  • Receiving labeling information via mail
  • Having labeling read, i.e., recorded messages
  • Reference to a mechanism to provide labeling to
    consumers with restricted access to technology,
    i.e., additional information via print
    advertisements which appear concurrently and as
    broadly distributed
  • Internet web page (URL) address
  • Healthcare practitioners as source of additional
    information
  • Note also applies to telephone advertisements

15
Lessons Learned . . . ?
  • Warning Letters to Pharma
  • Promotional materials are false and misleading .
    . . disseminated in ads and labeling pieces
    directly to consumers . . . claims are broader
    than what FDA approved
  • Labeling piece is false and misleading because
    it makes unsubstantiated effectiveness claims,
    for and omits material facts about . . .
  • Patient video is misleading because it
    overstates the efficacy of XYZ, minimizes
    safety risks and makes unsubstantiated
    superiority claims . . .

16
Thank you for your attention!
Pam Weagraff Founder and Principal
Contact InformationPhone 978-664-4655e-mail
pjweagraff_at_aceleraconsulting .com www.aceleracons
ulting.com
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