Title: MEDICINAL PLANTS THE JAMAICANCARIBBEAN EXPERIENCE
1MEDICINAL PLANTS THE JAMAICAN/CARIBBEAN
EXPERIENCE
- MINISTRY OF HEALTH JAMAICA PRINCESS THOMAS
OSBOURNE
- 2006 March 24
2 OBJECTIVES
- Provide a Caribbean/Jamaican Perspective on
herbal medicines
- Update WG participants regarding status of
Regional regulatory framework governing herbal
products
- Briefly outline challenges faced in developing
the framework.
- Recommend a way forward for harmonisation on
herbal medicines
3INTRODUCTION
- PUBLIC HEALTH
- STATE RESPONSIBILITY
- SCOPE OF PUBLIC ROLE/ RESPONSIBILITY
- INTEGRITY OF INDIVIDUAL CHOICE
- Access to safe goods services
4Situation Analysis - English Speaking Countries
of CARICOM
- Increasing use of, and demand for products of
natural origin
- Rapid introduction to markets of new, unfamiliar
medicinal plants, from local and international
sources, in dosage forms not necessarily
regulated. - False notion that natural is synonymous with
safe i.e. free of adverse effects. Supported by
many alternate medicinal practitioners.
5Situation Analysis contd.
- Truth regarding beneficial medicinal effects
often blurred
- Territories without regulatory mechanisms more at
risk or vulnerable
- Other Challenges e.g. the right to trade.
6Regulatory Intervention
- Regulatory mechanism supported by legislation
absent in all but three English speaking
Caribbean territories
- Strong Supporting evidence exists for
- benefits
- potentially harmful effects
- In the absence of therapeutic claims every
product is a Dietary Supplement but no
significant value over carefully planned and
balanced diet. - Basis for harmonised regulatory approach long
established.
7 Why Regulate- Shared Caribbean Position
- Protect consumer interests unsubstantiated
product claims
- Protect product integrity- evaluation parameters
- Maintain requisite standards batch to batch
consistency
- Ensure public safety not compromised
toxicities
- Are safe, effective, beneficial
- Products, practices lead to positive clinical
outcomes.
8HISTORICAL OVERVIEW- Jamaica
- INTRODUCTION OF NEW CATEGORY CALLED HERBAL
PRODUCTS-1993
- ESTABLISHMENT OF WHOLISTIC HERBAL ASSOCIATION-
1995
- LONG CONSULTATIVE PROCESS WITH STAKEHOLDERS -
years
9Contd.
- WHA recommendations reviewed by MOH
- Further discussions
- Consensus
10WHO Regional Workshop on Regulation of Herbal
Products - Nov. 2000
- Representatives from drug regulatory bodies
- from 11 Caribbean countries participated on -
- Issues relating to safety, efficacy, quality
control of herbal products
- Requirements for registration
- Proposal on harmonized standards regulations to
ensure safety and quality
11Workshop Outcome- Jamaica
- WHO General Guidelines for Methodologies on
Research and Evaluation of Traditional Medicine
introduced
- WHO Guidelines for Assessment and Safety of
Herbal Medicines used as GUIDE for
categorization and definition of categories for
purpose of amendment to Food Drugs Act
12MOH Prepared Proposal for Cabinet based on
- consultative process
- MOH, Wholistic Herbal Assoc.,
- Open fora with Select Committee on Human
Resources Social Development
- Reference to legal approach taken by Competent
Authorities in Australia, Canada, Germany,
England, United States, others.
- Reference to WHO Guidelines on the Assessment of
Herbal Products. Definitions adapted, in use.
13OVERVIEW contd.
- First Special Stakeholder Meeting of Cabinet
Select Committee on Human and Social Development
- January 2001- examined MOH proposal,
accomodated hearing from WHA, other
stakeholders. - Total of three meetings- to consider MOH proposal
to Cabinet.
- Proposal approved .
14Scope of Amendment to FD Act
- Five new categories of substances included in
Draft Amendment
- Herbs
- Herbal Materials
- Herbal Remedies
- Finished Herbal Products
- Health Foods
- Drugs, Foods remain in Act as previous
- Herbal remedies only registered.
15 Over-the-Counter category introduced Draft
Regulations to Act to reflect new
requirements including standards for sale of
herbal products completed. Awaiting gazetting
by CPC
16Definitions
- Herbs
- Include crude plant material e.g. leaves,
flowers, seeds, fruit, stems, wood, bark, roots,
rhizomes or other plant parts ,which may be
entire, fragmented or powdered. - Herbal Material
- Include in addition to herbs, fresh juices,
gums, fixed oils, essential oils, resins, dry
powders of herbs.
17Herbal Remedy
- Any botanical product consisting of a substance
- produced by subjecting a plant /plants to drying,
- crushing or any other process or mixture whose
- sole ingredients are two or more substances so
- produced. May have potential to be used for risk
- reduction, therapeutic or treatment purposes.
- Include traditionally used and new ones.
18Finished Herbal Product
- herbal preparation made from one or
- more herbs. If more than one herb is
- present the term mixture may be used.
- These may contain excipients in addition
- to the active ingredients. Where
- chemically defined active substances are
- added they are not considered to be herbal.
19Health food
- Any product other than tobacco taken by
mouth that is intended to supplement the diet,
such as, vitamin, mineral, amino acid, enzyme,
neutraceutical, dietary substance or concentrate,
metabolite, constituent, extract or combination
of these ingredients
20Definitions in existing Legislation - Food
Drugs Act
- Food any article used for food or drink by
man, including chewing gum and any ingredient
that may be mixed with food or drink for any
purpose - Drug any substance or mixture of substance
manufactured, sold or represented for use in -
21contd.
- The diagnosis, treatment, mitigation or
prevention of a disease, disorder, abnormal
physical state or the symptoms thereof in man or
animal - Restoring, correcting or modifying organic
functions in man or animal
- Disinfection in premises in which food is
manufactured, prepared, preserved, packaged .for
sale or sold for the control of vermin or insects
in such premises..
22Implemented so far -Jamaica-
- Official list of requirements for registration of
herbal drugs developed- in use
- Vitamins/minerals included in health food
category however
- registered as prescription drug if in injectable
form, mega doses for specific therapeutic
indications, or make therapeutic claims
substantiated or otherwise - registered as Over-the Counter drugs at
concentrations deemed to exceed levels specified
for free sale
- Permit required
23Other Health Foods-- Not registered as drugs
but Permit required- Special requirements for
labels to include warnings and any
particular conditions for use - Finished herbal
products singly or in combination may also be
registered as drugs.
24Advisory Panel Mechanism established Panel
on Complementary Medicines functional.
25Consultation with English speaking sister
territories in Caribbean
- Meeting of the RABDAT, TAC, St. Vincent 2002-
need for harmonization on regulation of herbal
products unanimously accepted
- Jamaica, Trinidad et al to prepare position paper
for submission to CARICOM Health Desk
- CRDTL provides critical linkage among territories.
26- Jamaica willing to provide support for countries
without Regulatory systems.
- Numerous attempts made to harmonize on
requirements for product regulation since 2000
- Principle of registration requirements similar
for TT, Jamaica, Guyana.
- Now working towards mechanism for harmonisation
- involving territories without existing
regulatory framework
- Discussed at length at recent TAC meeting (Feb.
2006) in Guyana. Draft proposal in preparation
27Regulatory Intervention
- Regulation of Herbalists
- Ensures purchase of medicines and ingredients
from reputable suppliers
- Ensures practitioners take responsible, informed
approach regarding safety issues
- Appropriate training and skills necessary
28Products -Integrity
- QUALITY Certificate of Analysis
- Conformity assessment for proper identity
- Content verification
- Impurities/contaminants
- Heavy metals, aflatoxins, moisture. Synthetic
material added?
- Raw materials - source etc.
- GMP, GAP
- Product stability
29Integrity contd.
- EFFICACY
- Ability to effect label claim -
indication/action
- Pharmacological activity
- Potency -justification for effective dose.
- Rationale for combination therapy multi-herb
combination a matter of concern
- Nature of claims - justification
30Integrity contd.
- SAFETY
- Toxicity
- Acute
- Long-term
- Mild, severe
- Reporting responsibility
- Interactions, contraindications
- Use in children
31Requirements for Health Foods
- Review of
- Active ingredients. Concentration a
consideration
- Validification of Label claims
- Verification of purity - Certificate of Analysis
- Samples
- Proof of approval in country of origin
- Scientific support claims may be requested.
32Documentation Requirements for Registration-
Herbal Remedies
- Statement of content
- Posology
- Rationale for combinations
- Toxic/side effects
- Tests to confirm quality, potency
- Approval in country of origin
- Samples
- Fees
- Other pertinent information
33Regional Challenges
- Availability of resources to effectively address
issues.
- Geographical barriers- distance, absence of
physical borders
- Commitment to follow-up
- Matter of Whose priority
34Regulatory Challenges
- Attempts to circumvent existing legislation
- Need for constant market vigilance - Cosmetics
with herbs?
- Teas other beverages
- Persistence of local Alt Med. Practitioners in
use of prohibited herbs eg. Chaparral, Comfrey,
Ma Huang
- Customs. Trinidad has dedicated inspectorate
35Regulatory Challenges
- Public suspicion-inadequate public education.
- Insufficient scientific information on many herbs
presents barrier to proper scientific review
- Inability of many applicants to provide requisite
documentation
- Lack of resources to develop adequate laboratory
support.
36- Local publications help build consumer awareness
eg. Poisonous Plants of Jamaica, Jamaicas
Ethnomedicine- Its Potential in the Healthcare
System - published by local authors.
- Work by local scientists on medicinal plants
UWI others
37Present Regulatory Framework
- Encompasses recommendations based on
collaborative work.
- Similar product classification scheme presently
used.
- Legislation amended to reflect position.
- Advisory Panel Mechanism for Complimentary
Medicines established (Jamaica).
38Note
- All products regulated except
- Homeopathic preparations more dilute than a one
thousand fold dilution of a mother tincture.
- Herbal teas except where there are claims.
- Products which exist and function principally as
food if they make no therapeutic claims e.g.
garlic
- Fees required for passive assessment
- All injectible presentations registered as
prescription drugs
39New Drug Applications
- More stringent requirements
- Clinical pharmacology pharmacokinetics,
pharmacodynamics, bioavailability,
bioequivalence
- Chemistry chemical composition, morphology-
structure activity relationship
- Proof of efficacy controlled, un0controlled
studies
- Safety scientifically established
- Toxicology
40Some Herbs Restricted in Jamaica- Info. Shared
with other territories
- Chaparral
- Comfrey- external use only
- Germander
- Lobelia
- Magnolia
- Jin Bu Huan
- Ma Huang
- Stephania
- Willow Bark
- Yohimbe
- Kava Kava?
41THE WAY FORARD
- Territories to agree on mechanism for
harmonisation
- Seek representation on political agenda
- Develop Regional legislation to address key
issues on timely basis
42 THANK YOU!