Title: DirecttoConsumer Advertising of Genetic Tests
1Direct-to-Consumer Advertising of Genetic Tests
- Sarah Botha
- Division of Advertising Practices
- Federal Trade Commission
The opinions expressed are my own and not
necessarily those of the FTC
2DTC Advertising of Genetic Tests and the FTC
- FTCs jurisdiction over DTC advertising of
genetic tests - FTCs method for evaluating promotional claims
for health-related products - Tools the FTC uses to prevent consumer deception
- FTCs role with respect to genetic testing
3FTC Legal Framework and Approach to Regulation
- Primarily a law enforcement agency
- No pre-market approval process
- No regulatory distinction between product
categories - No regulatory distinction between
health/disease/structure function claims
4Advertising and the FTC
- The dissemination or the causing to be
disseminated of any false advertisement . . .
shall be an unfair or deceptive act or practice .
. . under section 5 of the FTC Act, 15 U.S.C.
45. - 15 U.S.C. 52(b)
5Health Products and the FTC
- It shall be unlawful for any person,
partnership, or corporation to disseminate, or
cause to be disseminated, any false advertisement
. . . by any means . . . for the purpose of
inducing . . . directly or indirectly, the
purchase . . . of food, drugs, devices, services,
or cosmetics. - 15 U.S.C. 52(a)
6Advertisers Responsibilities
- An advertiser is responsible for all objective
claims express and implied that are conveyed
to reasonable consumers - An otherwise false advertisement is not
rendered acceptable merely because one possible
interpretation of it is not untrue. (In re
National Commission on Egg Nutrition et al.,
1976) - Ads must be truthful and not misleading
- An ad may be literally truthful and yet still be
deceptive to consumers - An ad may be deceptive by omission
7Advertisers Responsibilities
- All objective claims must be substantiated at the
time they are made - Any disclaimer that is necessary to prevent an ad
from being deceptive must be clear and
conspicuous and must effectively convey the
correct net impression to consumers
8Substantiation
- Must have a reasonable basis for any objective
claim - At least the level claimed in the ad
- Depends on a variety of factors, including nature
of the claim - soft, radiant skin vs. proven
protection against skin cancer
9Substantiation for Scientific Claims
- Health- or safety-related claims must be
substantiated with competent and reliable
scientific evidence at the time that the claims
are made.
10Not all clinical studies are the same the best
studies
- Test the relevant clinical endpoints
- Are tested on a representative human population
- Test the finished product itself, not individual
ingredients - Test the same dosages and delivery method
- Are double-blinded, randomized, and
placebo-controlled - Are statistically significant and have clinically
meaningful results - Are published in peer-reviewed journals
11Clinical studies must be examined in context
- Cant evaluate studies in isolation
- Consider all relevant evidence
- Reconcile inconsistent/conflicting results
- Claim may need to be qualified
- Dont make claim if weight of evidence contradicts
12What Are Our Priorities?
- Products that claim to treat or cure serious
diseases - Products that potentially pose significant safety
concerns to consumers - Products that are deceptively marketed to or for
children and adolescents - Claims with the potential to cause widespread or
severe consumer injury - Referrals from the NAD and other self-regulatory
programs
13FTC Tools for Combating Deception
- Monitoring of DTC advertising claims for genetic
testing and enforcement actions where appropriate - Consumer education
- July 2006 FTC-FDA-CDC joint consumer fact sheet
titled, At-Home Genetic Tests A Healthy Dose
of Skepticism May Be the Best Prescription
14FTC Participation on SACGHS
- Serve as an Ex Officio member on the Secretarys
Advisory Committee on Genetics, Health, and
Society (SACGHS)
15 WWW.FTC.GOV
Sarah Botha sbotha_at_ftc.gov 202-326-2036