Title: U.S. FDA Perspective on Food Supplements/TM
1U.S. FDA Perspective on Food Supplements/TM
- IKHLAS A. KHAN
- National Center for Natural Products Research,
Department of Pharmacognosy and Research
Institute of Pharmaceutical Sciences, School of
Pharmacy, - The University of Mississippi
2- What is a dietary supplement in the US?
- As defined by the United States Congress in the
Dietary Supplement Health and Education Act
(http//www.fda.gov/ opacom/laws/dshea.htmlsec3),
which became law in 1994, a dietary supplement
is a product (other than tobacco) that - is intended to supplement the diet
- contains one or more dietary ingredients
(including vitamins, minerals, herbs or other
botanicals, amino acids, and other substances)
or their constituents - is intended to be taken by mouth as a pill,
capsule, tablet, or liquid - and is labeled on the front panel as being a
dietary supplement.
http//ods.od.nih.gov/factsheets/DietarySupplement
s.asp
3What does DSHEA mean?
- Dietary supplements are regulated as foods
within the meaning of the act. - Does not require pre-market notification or
registration of products, except for new dietary
ingredients (NDI).
4Where do you want to go today?
5What is the
6Intended Use Makes a Difference
Not ingested, applied to the body
Intended use is food
Diagnose, cure, or treat a disease
FOOD
COSMETIC
DRUG
Ingested to affect structure or function of body
Ingested to supplement the diet
DIETARY SUPPLEMENT
7Under US Regulations Botanicals can be regulated
as
- Foods - conventional foods, functional foods,
spices, dietary supplements - Drugs - OTC, prescription
- Biologics - allergenic vaccines
- Cosmetics - shampoos
- Devices - dental alginates, poultices, adhesives
8Safety categorization plays a major role!
Food ltltltltltltltltltltltltgtgtgtgtgtgtgtgtgtgtgtgtgtDrugs
9Safety Assumptions
- Drugs - Health benefit vs. risk evaluation.
- Generally regarded as unsafe!
- Dietary supplements -Components are Generally
Recognized as Safe (GRAS). - GRAS Notification (www.cfsan.fda.gov/rdb/opa-gras
.htm)
10Quality Standard Differences
- Drug
- Utilize Pharm Good Manufacturing practices (GMP)
- Main focus on consistency, potency and purity.
- DS/Foods
- Utilize Food (GMP)
- Main focus on the reduction of contaminants
adulterants and filth.
11Drugs vs. Dietary Supplement Claims
- Drug manufacturers may claim that their product
will diagnose, cure, mitigate, treat or prevent a
disease.
- Dietary supplement manufacturers can not legally
make these claims!
12What can dietary supplement manufacturers claim?
- A dietary supplement or food product may contain
one of three types of claims - A health claim - diets high in calcium may
reduce the risk of osteoporosis - A nutrient content claim - A good source of
- or A structure/function claim - calcium builds
strong bones., antioxidants maintain cell
integrity
(http//www.cfsan.fda.gov/dms/hclaims.html)
13Authorized health claims for DS
- NLEA Authorized Health Claims.
- The Nutrition Labeling and Education Act (NLEA)
1990. - Must meet a significant scientific agreement
standard. - Health Claims Based on Authoritative Statements.
- FDAMA - (FDA Modernization Act of 1997)
- authoritative statement from a scientific body
of the US Government or the National Academy of
Sciences. - Qualified Health Claims.
- Claims that contain qualifying language to
reflect level of scientific support and are not
misleading to consumers. - FDA guides http//www.cfsan.fda.gov/dms/hclmgui3.
html
(http//www.cfsan.fda.gov/dms/hclaims.html)
14New Dietary Ingredient (NDI) Notification
- Required for all new ingredients which were not
marketed in the US prior to October 15th 1994
(DSHEA). - Notifications should be submitted to FDA 75 days
prior to marketing. - Information must exist which establishes a
reasonable expectation of safety for products
containing the NDI. - The FDA does not approve or disapprove the
NDI rather they post objections.
15NDI Status 1995-2005
16Items that FDA Currently Enforces
- Androstenedione
- Ephedra
- Steroidal precursor substances
- Aristolochic Acid
17Guidelines for Botanical Drug Products
- FDA Published on 6/9/2006
- More information at www.fda.gov/cder/ guidance
18Botanical Drugs NDA vs. Monograph
- Botanical drugs can be developed in United States
through - New drug applications (NDA)
- Prescription drug
- Over-the-counter drug
- Monographs for Over-the-counter (OTC)
19Guidance Principals
- Identification of active constituents not
essential - Purification not required
- Chemistry/Manufacturing and Control (CMC) will be
extended to raw materials - Non-clinical evaluations may be reduced
- Same level of clinical efficacy/safety
requirements as standard drugs - In general the FDA will utilize the historical
safety information to expedite early stage
testing and evaluation of botanical products.
20Botanical Drug Review
- IND Safety review related to scope of the
proposed clinical studies - Preliminary studies (Phase I/II)
- Marketed products vs not marketed or
- Marketed with safety concerns
- Expanded studies (Phase III)
- End-of-Phase 2 meeting
- New Drug Application (NDA)
- Safety/efficacy quality and therapeutic
consistency - Pre-NDA meeting
21Botanical IND Considerations
- A botanical or a non-botanical IND?
- Crude extracts, partially purified fractions
- Combination of highly purified compounds from
different plants - Single herb or multiple-herb product
- Botanical only or botanical with other active
components - E.g., vitamins, minerals, animal parts
22BRT Review of Botanical INDs Based on Prior Human
Use
- Comparing the doses and durations of the
botanical product/raw materials in IND with
previous human uses - Is the product/trial reasonably safe?
- Report known side effects or potential safety
issues - Comment on the relationship between prior human
use and the proposed indications
23Common issues of Initial IND Submissions
- Incomplete information on raw materials
- Scientific name or botanical parts not specified
- Multiple plant species used for one botanical
material - Safety information gaps of botanical raw
materials and products - Yields of extracts from raw materials not
provided - Unreasonably high dose (in weight of raw herb)
- Proposed long trial duration that is not
supported by prior human experience
24Botanical Applications to FDA (as of June 1,
2006)
- Total of 286 Applications
- 232 INDs (2/3 active not necessarily mean
currently enrolling or treating patients) - 54 pre-INDs
- Currently 2-3 new submissions per month
- 40 commercial, 60 research
- gt2/3 single herb, lt1/3 multiple herbs
25Increasing s of Botanical Applications to FDA
26Therapeutic Areas Covered in Applications
27Scientific Issues that Impact the Regulation of
Dietary Supplements
- GMP/GAP-related Identification/substitutions,
purity, quality issues - Contaminants chemical, filth, heavy metals,
pesticides, microbial, sterilization techniques - Efficacy - identification of "active" components,
standardization issues related to products
(markers of quality, active ingredients,
surrogate markers, etc.) - NDI safety issues - evidence needed to ensure
safety - Interactions with drugs and other dietary
ingredients - Type of safety evidence needed when use expands
beyond traditional user populations/exposures.
(children,elderly, preg/lact women, childbearing
age, etc.).