Title: Regulatory Aspects of Veterinary Practice without Antibiotics
1Regulatory Aspects of Veterinary Practice without
Antibiotics
- Hubert Karreman, VMD
- Narvon, PA
2Extralabel Drug Use Algorithm for Veterinarians
3Is there a human drug or drug approved for
non-food animals which could be used
extralabelly? YES
- Is there adequate sceintific information to
determine a withdrawal time? YES - Proceed with extra-label use of human or non-feed
animal drug. Establish extended withdrawal time.
Ensure food safety. Maintain required records.
Label drug appropriately.
4AVMA algorithm refers to drug choice/use by
veterinarians in context of a valid VCPR
- What is a drug?
- M-I-06-5 3 April 19, 2006 (PMO)
- Drug A drug is defined in section 201(g) of the
Federal Food, Drug, and Cosmetic Act (FFDCA), as
amended. For PMO purposes, animal drugs are
articles intended for use in the diagnosis, cure,
mitigation, treatment, or prevention of disease
in man or other animals and articles (other than
food) intended to affect the structure or
function of the body of animals.
5However - Extra Label Use (ELU) of drugs refers
only to NADAs via AMDUCA
- Drugs Prohibited for ELU in Food Animals (11)
(from PMO) - Chloramphenicol
- Clenbuterol
- Diethylstilbesterol
- Dimetridazole
- Other Nitroimidazoles
- Furazolidine, Nitrofurazone, Other nitrofurans
- Sulfonamide drugs in lactating dairy (except ones
specifically allowed) - Floroquinolones
- Glycopeptides (i.e. vancomycin)
- Phenylbutazone in female dairy cattle gt20 months
or older - Adamantane and neuraminidase
- Therefore all other compounds are not prohibited
- IF labeled properly and dispensed used by
veterinarian within a valid VCPR
6But what about a veterinarians use of a
medicinal that is not explicitly prohibited? The
practice of veterinary medicine is very broad IF
a valid VCPR exists
- Veterinarian/Client/Patient Relationship (VCPR)
exists when all of the following conditions have
been met - The veterinarian has assumed the responsibility
for making clinical judgments regarding the
health of the animal(s) and the need for medical
treatment, and the client has agreed to follow
the veterinarians instructions. - The veterinarian has sufficient knowledge of the
animal(s) to initiate at least a general or
preliminary diagnosis of the medical condition of
the animal(s).This means that the veterinarian
has recently seen and is personally acquainted
with the keeping and care of the animal(s) by
virtue of an examination of the animal(s) or by
medically appropriate and timely visits to the
premises where the animal(s) are kept. - The veterinarian is readily available for
follow-up evaluation, or has arranged for
emergency coverage, in the event of adverse
reactions or failure of the treatment regimen.
7COMPLEMENTARY AND ALTERNATIVE VETERINARY
MODALITY(S) CLIENT CONSENT FORM 1. OWNER
IDENTIFICATION Name______________________________
_____ Address_____________________________________
_____________________ 2. ANIMALS
DESCRIPTION Animals Name or Identification
No.___________________________________ Species____
________________ Breed______________________
Age_______ 3. INFORMATION PROVIDED i) I have
been advised by Dr(s).____________________________
______ of the conventional and complementary and
alternative veterinary options for diagnosis and
therapy, and their associated risks, costs and
prognosis. ii) I am aware that the following
complementary and alternative modalities to be
used in the treatment of my animal are not
considered conventional veterinary
medicine. ________________________________________
________________________ 4. I AGREE THAT A) I
have read and fully understand this Client
Consent Form. B) I am the owner of, or the
authorized agent of, the animal described above
and I am of legal age (18 years or older). C) I
consent to the provision of the above listed
complementary and alternative modalities for my
animal by the above-mentioned doctor(s). Client
signature ___________________________________ Vete
rinarian Signature _______________________________
____ Witness Signature Date______________
8HHSPHSFDACFSANOCDCPMSB 5100 Paint
Branch Parkway College Park, MD 20740-3835
M-I-06-5 April 19, 2006
TO All Regional Food and Drug Directors Attn
Regional Milk Specialists FROM Milk Safety
Branch (HFS-626) SUBJECT Current Information
Addressing Item 15r-Drug and Chemical Control Of
The Grade A Pasteurized Milk Ordinance The
purpose of this coded memorandum (M-I) is to
update previously issued guidance on Item 15r of
the Grade A Pasteurized Milk Ordinance (PMO)
addressing drug labeling, use and storage
requirements inspectional areas and follow up
investigations for positive animal drug residues
on Grade A dairy operations.
9Pasteurized Milk Ordinance deals with correct
labeling of drugs found on dairy farms during
regulatory inspections (item 15r)
- PMO page 2
- 4. Drugs shall be properly labeled to include the
name and address of the manufacturer or
distributor for OTC drugs, or veterinary
practitioner dispensing the product for Rx and
extra label use drugs. - 5. Drug labels shall also include
- Directions for use, and prescribed withholding
times - Cautionary statements, if needed and
- Active ingredient(s) in the drug product.
- 6. Unapproved and/or improperly labeled drugs are
not used to treat dairy animals and are not
stored in the milkhouse, milking barn, stable or
parlor.
10Topicals pg 3 PMO
- NOTE Topical antiseptics and wound dressings,
unless intended for direct injection into the
teat, vaccines and other biologics, and dosage
form vitamins and/or mineral products are exempt
from labeling and storage requirements, except
when it is determined that they are stored in
such a manner that they may contaminate the milk
or milk product-contact surfaces of containers,
utensils or equipment. -
- Thus if a topical antiseptic were to be labelled
for direct injection into the teat, it would be
OK?
11OTHER DRUGS Regulators are reminded that the
following three (3) drugs are either not to be
used or not to be stored on dairy operations or
fed to lactating dairy cattle because of human
food safety concerns 1. NON-MEDICAL GRADE
DIMETHYLSULFOXIDE (DMSO) NOTE There are serious
medical conditions that may occur in dairy cattle
for which the administration of medical grade
DMSO may be a life saving treatment option. It is
permissible for veterinarians to use FDA approved
medical grade DMSO products under AMDUCA in an
extra-label manner to treat food animals. To
align the PMO with AMDUCA and legitimate
veterinary medical practice, the use of medical
grade DMSO to treat life threatening conditions
in dairy cattle of all classes is allowable.
Under no circumstances should the product be
stored on the operation for indiscriminate use by
dairy personnel. The storage of DMSO in any form
or the use of industrial grade DMSO in any form
on a dairy operation is a violation of Item 15r
of the PMO. 2. DIPYRONE (Novine, No Pain, etc.)
3. COLLOIDAL SILVER what about ionized silver?
12MISCELLANEOUS DRUGS Examples of such drugs
include Aloe Vera Homeopathic Drugs Drugs that
are packaged for infusion (intramammary) or
injection but labeled for oral (feed), topical,
or other routes of administration and Drugs used
in foot baths and sprays for application to dairy
animals feet. What about such drugs that are
appropriately labeled by vet within a valid
VCPR?
131. Aloe vera
- FDA has received complaints of aloe vera being
promoted for use as a treatment for mastitis, a
cure for high somatic cell counts, as an aid for
increasing milk production, and treatment for
calf diarrhea. FDA is aware that firms are
selling containers of aloe vera with no drug
claims on the label to dairy producers and then
providing the drug use claims either orally or by
other printed materials or graphics (labeling). - No aloe vera product has been approved for the
treatment of these serious disease conditions or
to increase milk production. Aloe vera products
for animals bearing these types of claims are
unapproved new animal drugs. Aloe vera products
intended for animal use that do not bear adequate
directions for animal use are misbranded. The use
of unapproved drugs is considered a violation of
Item 15r of the PMO. - Therefore if labelled by a veterinarian within a
valid VCPR, then OK? - How can aloe vera be thought of and referred to
as a new animal drug??
142. Homeopathic Drugs
- Homeopathy is an alternative therapeutic modality
developed in the late 1700's by a German
physician for use in humans. Homeopathic medicine
is considered an unconventional form of
veterinary practice. FDA can find no
justification for regulating veterinary
homeopathic drugs any differently from other
drugs subject to the FFDCA. There are currently
no FDA approved homeopathic drugs for veterinary
use. - Homeopathic drugs found on dairy operations must
comply with the drug labeling and storage
requirements of Item 15r of the PMO. If these do
not comply with the drug labeling requirements,
they are addressed like other unapproved drugs,
and should not be stored on dairy operations or
used to treat dairy animals. If homeopathic drugs
are properly labeled they are subject to the same
storage requirements as any other drug. - NOTE A thorough reading of the label for
homeopathic drugs will often disclose Item 15r
deficiencies. - First it states that there are no homeopathics
for veterinary use but then goes on to say that
if homeopathics are found they must comply with
proper drug labeling. ???
153. DRUGS PACKAGED FOR INJECTION OR UDDER INFUSION
BUT LABELED FOR ORAL OR TOPICAL USE
- FDA has received several complaints about
products labeled for oral, topical or other
routes of administration that are packaged in a
manner customarily considered to be for
parenteral (injection and udder infusion)
administration. Among the products packaged in
this manner are aloe vera products labeled for
topical use and packaged in sur-jets/squeeze jets
(squeeze tubes routinely used for intramammary
infusion) and probiotic and whey blend products
labeled for oral use packaged in syringes with
sterile diluent in vials with udder infusion
cannulas and alcohol pads or packaged in sterile
vials closed with a metal ring and rubber
injection stopper. - FDA's Compliance Policy Guide (CPG) 7125.39
entitled "Drugs Packaged for Infusion or
Injection for Food-Producing Animals" is
available for guidance on this issue. - FDA is very concerned about the safety of
products not approved for parenteral use which
are infused or injected into food-producing
animals. FDA believes that the packaging and
labeling of these products is a subterfuge to
avoid the more stringent regulatory requirements
for parenteral drugs. Products that are intended
for oral or topical administration should not be
packaged to facilitate parenteral (injection and
udder infusion) administration. Such drugs will
be considered to be misbranded if they do not
contain directions for their packaged use. - In other words, misleading labeling is
prohibited. But what if something is honestly
labeled by the veterinarian within a valid VCPR?
164. MEDICATED FOOT BATHS AND SPRAYS USED TO TREAT
AND CONTROL CATTLE FOOT ROT AND HEEL WARTS
- Veterinarians prescribe and dairy producers
routinely use medicated foot baths or sprays to
control hoof disorders in dairy animals. These
baths and sprays often contain antibiotics, such
as oxytetracycline. To comply with the PMO, these
types of baths and sprays must be operated in a
manner that will not contaminate the milk or milk
product contact surface of the milking equipment.
The use of antibiotics for foot baths/sprays
constitutes ELU. Veterinarians should comply with
the labeling requirements for ELU of drugs under
Item 15r of the PMO. - To prevent milk contamination, foot baths
generally should be located on the exit side of
the milking area (walk through after milking).
Spraying medication onto the dairy animals
hooves should not occur in the milking area
during milking time. - Notice the term should (versus must)
17CHORULON A CASE STUDY OF FLEXIBILITY IN THE NEW
ANIMALDRUG APPROVAL PROCESSFrom FDA
Veterinarian Nov/Dec 2000
- CVM took the unprecedented step of publishing a
guidance permitting the use of the unapproved new
animal drug in brood fish under certain
conditions (Guidance for Industry 71). This
action provided the use of the unapproved new
animal drug, chorionic gonadotropin, under
regulatory discretion. The decision to provide
this discretion was based on the low human food
safety and environmental safety, the need of the
industry for this relief, the food fish status of - many of the broodstock which would receive
treatment, and the likelihood of a formal
approval for this use.
18it was recognized that the worst case dietary
exposure to Chorulon would be the potential
consumption of the tissue into which the drug had
been injected (the injection site) without
allowing any time for the drug to deplete. Even
in this unlikely event, it was determined that as
much as 25,350 I.U. of total gonadotropin would
be safe for a person to consume. It was clear
from the effectiveness data that in nearly all
instances the total amount of Chorulon
administered to the fish would not be sufficient
to cause concern in the human diet. Hopefully
GRAS (Generally Recognized As Safe) products
which are dispensed or administered in the
context of a valid VCPR and labelled
appropriately according to the PMO but are
unapproved - will be accorded the same treatment
by FDA CVM
19INSTITUTE FOR NON-ANTIBIOTIC AGRICULTURE(INAA)
20INSTITUTE FOR NON-ANTIBIOTIC AGRICULTURE(INAA)
- PURPOSE
- The Institute exists to actively study
agricultural practices and treatments which
stimulate and augment animals innate immune
capabilities to be healthy and to resolve disease
conditions. - The Institute is to be a consortium of veterinary
practitioners, clinical researchers and animal
husbandry professionals who are dedicated to
studying the art and science of raising animals
without relying on antibiotics and hormones. - Emphasis on applied science to benefit the health
of agricultural food producing species is central
to the existence of the Institute.
21GOALS of the INAA
- 1) Link veterinary practitioners and academic
investigators to study non-antibiotic treatments
of infectious disease (NATID) and non-hormonal
treatment of infertility (NHTI) in agricultural
food producing species. Emphasis will be on
biomarkers to identify health and disease
resolution. - 2) The study of naturally acquired disease and
its treatment should be given priority to
experimental infection protocols. -
- 3) Encourage holistic approaches to problem
identification and treatment. The concept of
exchanging one treatment for another (input
substitution) is discouraged however, it is
accepted that precision therapies do exist but
should be used in the context of the entire
patient or herd picture. - 4) Create a data base of NATID and NHTI clinical
studies - double blind randomized, single blind
randomized, open trial, case series, case
reports, and clinical impressions from anywhere
in the world and from any language.
22GOALS of the INAA
- 5) It is accepted by members of the Institute
that clinical impressions have historically led
to discoveries of practical importance and will
continue to do so. - 6) Disseminate factual, rational, credible
information that will enable practitioners to
provide effective non-antibiotic and non-hormonal
treatments to major agricultural species (cattle,
swine, avian, etc) - 7) Work with appropriate regulatory agencies to
ensure a safer and more wholesome food supply.
The promotion of valid veterinary-client-patient-r
elationship is encouraged whenever carrying out
clinical duties and studies. - 8) Encourage/support student interest and mentor
students to ensure future leadership in food
production without reliance on antibiotics and
hormones.