Title: ??????????????????????????????????? ??????????????????????????????????????????????????? (WSMI)
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??????????????????? (WSMI) Worldwide Regulation
WSMI Advertisement Taskforce ??. ??. ????
??????????? Dr Noppadon Adjimatera ASEAN South
Asia Regional Regulatory and Medical Affairs
Director, Reckitt Benckiser, Thailand
2Content
- Characteristics of OTC advertisement
- Comparison analysis of advertising regulatory
models - Example of OTC advertising regulation UK
- Example of OTC advertising regulation US
3KEY AIMS OF ADVERTISING
- Raise maintain awareness
- Conditions
- New existing treatment options
- Create brand recognition which supports product
selection - Reinforce Quality Use of Medicines (QUM) messages
- Encourage consumers to seek further info
- Stimulate competition
4LIMITATIONS OF ADVERTISING
- Awareness creation tool, not educational tool
- Volume of info critical less is more
- Purpose attract attention, offer choices
encourage consumers to seek more information
5CHARACTERISTICS OF NON-PRESCRIPTION (OTC)
MEDICINES ADVERTISING
OTC vs Consumer Goods
OTC vs Rx products
- Approved ingredients claims are basis for
advertising message - Strict requirements around product usage (as
directed, do not exceed) and product labeling - Bigger creative challenge as people are not well
(no big promise).
- Language used must be consumer-friendly, but
still technically accurate - Higher cost and shorter time to communicate
- Single message delivery
- Ads must create connection to consumers or match
their experience to get their interest (not a
textbook)
6COMPARISON ANALYSIS OF ADVERTISING REGULATORY
MODELS
- Conduct by WSMI (World self-medication industry)
worldwide to understand- - Advertising facts myths
- Regulation aims best practice principles
- Models elements of advertising controls
- An approach to analysing assessing advertising
regulatory frameworks
7OBJECTIVES OF REGULATIONS
- Encourage desired behaviour and/or discourage
unacceptable conduct - Create a level playing field for competitors
- Maintain public confidence
- Wall Street Journal headline The purpose of
regulation is compliance, not punishment
8PRINCIPLES OF BEST-PRACTICE REGULATION
- Clarity in terms of requirements
- Targeted to address specific legitimate
concerns - Restrictions directly linked to verifiable
outcomes - Minimum necessary to achieve the stated
objectives - Neither favour nor constrain market participants
to compete - Processes procedures impartial not
self-serving - Regular review to ensure effectiveness
9CRITERIA FOR ANALYSING ASSESSING REGULATORY
MODELS
- Clarity consistency in relation to requirements
- Consistent with the risks posed
- Effective in ensuring compliance
- Universal to ensure level playing field
- Timeliness in responding to non-compliance
- Fair afford natural justice
- Cost-effective
- Transparency public awareness
- Simple, streamlined and user-friendly processes
10MODELS OF ADVERTISING CONTROLS
- Default regulatory position
- Point of regulatory intervention
- Parties involved in controls
- Media covered
- Codes guidelines
- Complaints mechanisms
- Penalties sanctions
11DEFAULT REGULATORY POSITION
- From most restrictive/least ideal to least
restrictive/ideal - No advertising of OTCs permitted
- OTC advertising not permitted, but with some
exceptions - OTCs advertisable, but with some exceptions
- All OTCs advertisable
12POINT OF REGULATORY INTERVENTION
- Pre-market
- At market authorisation
- Pre-approval of ads
- Post-market
- Reviews/audits comprehensive, random, regular,
ad hoc, complaints driven - Combination of pre- post-market compliance
measures
13PARTIES UNDERTAKING COMPLIANCE
- Government regulation
- Industry self-regulation
- Combination co-regulation
14Overview of advertising control measures
Pre- control Post-event surveillance Self-regulation Co-regulation Govt./public control
Argentina ? ?
Australia ? ? ? ? ?
Austria ? ?
Belgium ? ?
Brazil ? ? ?
Bulgaria ? ?
Canada ? ?
Chile - - ?
China ?
Colombia ?
Croatia ? ?
Cyprus ? ?
Czech Republic ? ? ?
Denmark ? ? ?
Finland ? ?
France ? ?
Germany ü ü ü
Greece ? ? ? ?
Hungary ? ? ? ?
India ? ? ? ?
Ireland ? ? ?
15Overview of advertising control measures
Pre- control Post-event surveillance Self-regulation Co-regulation Govt./public control
Italy ? ?
Japan ? ? ?
Lithuania ? ?
Mexico ? ? ?
Netherlands ? ?
New Zealand ? ?
Norway ? ? ?
Philippines
Poland ? ? ?
Portugal ? ? ?
Romania ? ? ?
Russia ? ? ?
Slovak Republic ? ? ?
Slovenia ? ?
Spain ? ?
Sweden ? ?
Switzerland ? ? ?
Thailand ? ? ?
Turkey N/A N/A N/A N/A N/A
Ukraine ?
United Kingdom ? ?
United States ? ? ?
Venezuela ? ?
16MEDIA COVERED BY CONTROLS
- All advertisements/all media above-the-line
below-the-line advertisements - Only high impact above-the-line/mainstream
advertising - Different compliance measures for above-the-line
below-the-line advertisements
17CODES GUIDELINES
- Industry codes of practice
- Voluntary
- Mandatory
- Codes underpinned in regulations
- Models principles-based or detailed/prescriptive
- Guidelines greater flexibility, less certainty
18COMPLAINTS MECHANISMS
- Underpinned in regulation
- Part of industry codes of practice
- Combination different mechanisms for different
media
19PENALTIES SANCTIONS
- Withdraw/dont repeat
- Retraction/corrective statements
- Fines
- Suspension or cancellation of authorisation
20CONCLUSION
- All models have strengths weaknesses
- Global trend
- Self- co-regulatory controls
- Government post-market surveillance
21OTC ADVERTISING REGULATION GUIDELINE IN UK
- Policy level Organization that are involved in
the control of OTC medicines advertising are - The Medicines and Healthcare Products Regulatory
Agency (MHRA) - The Committee of Advertising Practice (CAP)
- The Advertising Standards Authority (ASA)
- Operation level Trade association related to the
control of OTC medicines advertising is PAGB
(Proprietary Association of Great Britain) - PAGB is the UK trade association for
manufacturers of branded over-the-counter
medicines and food supplements. - Primary aim is to promote responsible
self-medication to consumers and professionals. - Provides advice to its member companies on all
aspects of regulations, including advertising
regulations and the PAGB Codes of Advertising
Practice.
22MHRA Guidance Notes
Implementation
www.mhra.gov.uk
www.pagb.org.uk
www.clearcast.co.uk
23CONTENT OF OTC ADVERTISEMENT
- Advertisements should contain information that is
reliable, accurate, truthful, informative,
balanced, up-to-date, capable of substantiation
and in good taste. They should not contain any
misleading or unverifiable or omissions likely to
induce medically unjustifiable use or to give
rise to undue risks. - Advertising to the general public (consumer)
- Advertising to the pharmacists, doctors, and
wholesalers (professional)
24PAGB Guidance Notes
Non-prescription (OTC) medicines
www.pagb.org.uk
Proprietary Association of Great Britain
25PAGB CODES OF ADVERTISING PRACTICE
- PAGB can offer guidance on the roles of the
various bodies involved in the control of OTC
medicines advertising. - PAGB maintains a working relationship with each
of the following organisations - Medicines and Healthcare products Regulatory
Agency (MHRA) - Committee of Advertising Practice (CAP)
- Advertising Standards Authority (ASA)
- Office of Communications (Ofcom)
- Broadcast Advertising Clearance Centre (BACC)
- Radio Advertising Clearance Centre (RACC)
- This allows PAGB to provide a consistent and
reliable approval system which takes into account
the concerns of both regulators and
self-regulators. - PAGB may, at its discretion, request the views of
any of the above organisations before approving
advertising copy.
26PAGB CODES OF ADVERTISING PRACTICE
- These codes outline a set of standards with which
member companies are required to comply. To be
ensure that the self-medication advertising for
both consumer and professionals - Cover
- Advertising materials which are aimed at
consumers and those persons who may legitimately
purchase medicines on behalf of another consumer - All branded, promotional materials over which the
company has full editorial control.
27PAGB CODES OF ADVERTISING PRACTICE
- Does not cover
- claims related to the price of the product.
- public relations (PR) materials.
- materials which are aimed at third parties.
- The only PR materials which require PAGB approval
are press releases intended for use on the
Internet. - PR is covered by the Medicines (Advertising)
Regulations - corporate sponsorship.
- product labels, packaging materials and in-pack
leaflets. These must be submitted to the MHRA for
approval. - legal notices and disclaimers included on
websites - advertising aimed at persons qualified to
prescribe or supply medicines, or to their
employees. - advertising of food supplements.
28PAGB CODES OF ADVERTISING PRACTICE
- General principles
- The PAGB Consumer Code applies to advertising
which is aimed directly at consumers and those
persons who may purchase medicines on behalf of a
consumer. - A medicine must not be promoted to consumers
prior to the granting of the Marketing
Authorisation. - Shall be true and shall not mislead. Not contain
any exaggerated claims, either direct or implied.
- Not bring the OTC medicines industry into
disrepute, nor shall it undermine or prejudice
consumer confidence in medicines. - Use language which can be understood by the
consumer. The use of medical terminology is
acceptable, but should not confuse or mislead the
consumer. - Advertising shall be clearly distinguished from
editorial matter. - Advertising shall not cause consumers unwarranted
anxiety with regard to any ailment.
29PAGB CODES OF ADVERTISING PRACTICE
- General principles (cont.)
- Advertising shall not suggest that health could
be adversely affected if the consumer chooses not
to use the medicine(s) featured. - Advertising can only refer to the prevention of
symptoms and the use of a product in chronic
conditions, if this is in line with the Summary
of Product Characteristics. - Advertising shall not contain material which
could lead to consumers making an erroneous
self-diagnosis. - Advertising shall not discourage consumers from
seeking medical or pharmacy advice. Nor shall it
suggest that a consultation or surgical operation
is unnecessary. - Advertising shall not offer to diagnose, advise,
prescribe or treat personally by correspondence. - Care should be taken not to encourage, either
directly or indirectly, the indiscriminate,
unnecessary or excessive use of any medicine. - Advertising shall not claim or imply, that a
products effects are guaranteed. - Advertising shall not state or imply that a
product is licensed.
30PAGB CODES OF ADVERTISING PRACTICE
- Comparative advertising
- All comparisons shall be balanced, fair and
supportable. - Advertising shall not unfairly denigrate or
discredit, either directly or by implication, a
competitor product, ingredient or treatment type. - Advertising shall not suggest that a products
effects are better than or equal to another
identifiable product or treatment. - Advertising shall not state that a product does
not contain an active ingredient or ingredients
used in competitor products. - Brand names of products of other companies shall
not be used without permission of the owner. - Hanging comparisons shall not be used.
- Supportable top parity claims are acceptable.
Such claims will remain valid until another
product in the therapeutic category can prove
objective superiority. - Superiority claims shall not be used, unless
supported by direct comparative tests or other
demonstrations.
31PAGB CODES OF ADVERTISING PRACTICE
- Health professionals
- Advertising shall not state or imply that a
product is recommended by or used by a health
professional or scientist (e.g. a doctor,
dentist, pharmacist, nurse or midwife). - Advertising shall not claim that a product is, or
has been available on prescription - Advertising shall not refer to a college,
hospital, clinic, institute, laboratory
or similar establishment, unless the
establishment genuinely exists. - Celebrities Advertising shall not include a
recommendation by a person who, because of their
celebrity, may encourage consumers to use a
medicine. - Children Advertising shall not be aimed
principally or exclusively at children. Shall not
show children using, or within reach of,
medicines without adult supervision. - Testimonials
- Testimonials shall comply with the other
principles of this Code. - Testimonials shall be less than three years old
and be the genuine views of the user. - A health professional or celebrity shall not be
identified as the writer of a testimonial.
32UK MEDICINES ADVERTISEMENT COMPLAINTS
33OTC ADVERTISING REGULATION GUIDELINE IN USA
- Organization that are involved in the control of
OTC medicines advertising are - Food Drug Administration (FDA)
- Federal Trade Commission (FTC)
- Broadcasting networks
- Trade association related to the control of OTC
medicines advertising is CHPA (Consumer
HealthCare Products Association) - CHPA is the USA trade association for
manufacturers of branded over-the-counter
medicines - Primary aim is to promote responsible
self-medication to consumers and professionals. - National Advertising Division (NAD)
- self regulation censorship for Ads
34 FDA ROLE IN OTC ADVERTISING
- FDA control mainly OTC labeling, not advertising
- Primarily FTC, not FDA, will investigate
- FDA will provide advertising/promotional material
to FTC along with an explanation and data that is
relevant to the claim - MOU (Memorandum of Understanding) allows
interagency sharing of confidential information - Usually a follow-up call or e-mail
- Any additional data to support the advertising
/promotional claim sent to FTC, not FDA
35THE FTC SETS THE FOUNDATION
- National advertisers must meet the FTC standard
of truthful and not misleading advertising claims - All material claims must be substantiated by a
reasonable basis of support - Health-related claims require the highest level
of reliable and competent support because
consumers cannot always judge product performance
for themselves - Advertisers must have evidence to back up their
claims - Establishment claims that mention a test or
survey must have that specific support - The ads cannot make unfair comparisons
36FTC/FDA INTERACTION
- Two agencies have overlapping authority over OTC
drug marketing - Longstanding liaison agreement
- FDA Labeling
- FTC Advertising
- Staffs of agencies coordinate closely
37FTC Advertising Law Basics
- Primarily a law enforcement agency
- Broad liability advertiser, ad agency, endorser
- Wide variety of remedies warning, injunction,
refunds, disgorgement of profits, corrective
advertising - Administrative or Federal courts
38FTC Advertising Law Basics
- Section 5 of FTC Act prohibits unfair or
deceptive acts or practices - An act or practice is deceptive if it misleads
consumers acting reasonably under circumstances
and is material to the purchase/use decision - Section 12 prohibits any false advertisement
that is misleading in a material respect
39FTC Advertising Law Basics
- Two basic principles
- 1. Advertising must be truthful and not
misleading - 2. Objective claims must be substantiated before
they are made
40FTC AD LAW BASICS AD MEANING
- Apply a reasonable consumer standard
- Look at both express and implied claims what is
overall net impression of the ad - There may be more than one reasonable
interpretation of an ad - Ad may need to disclose material information,
i.e., info affecting purchase/use decision
41FTC Ad Law Basics Disclosures
- Clear and conspicuous
- Prominence Is it big enough for consumers to
notice and read? - Presentation Is wording and format easy for
consumers to understand? - Placement Is it where consumers look and near
the claim it qualifies?
Fine print footnotes are not adequate
disclosures.
42Network Review and Approval
- 4 major and many cable networks have Broadcast
Standards Departments - published guidelines apply to TV and radio
- white coat restriction
- follow label directions, occasional use
requirements - Review of storyboards first, then finished ads
- Formal Challenge Process
- note Federal Communication Commission sets
decency standards but does not regulate
advertising - for programming between 6 a.m.-10 p.m.
- exceptions childrens programming and political
advertising
43OTC ADVERTISING REGULATION GUIDELINE IN MALAYSIA
- Laws and codes of practice govern the advertising
of medicinal products - Statutory Law
- The Medicines (Advertisement Sale) Act 1956
(1956 Act) - Medicine Advertisement Board Regulations 1976
(1976 Regulations) - Guidelines on Medical Products and Appliances
(MAB Guidelines) - Medicine Advertisements Guideline for Public
Information by Private Hospitals, Clinics,
Radiological Clinics and Medical Laboratories. - Codes of Practice
- The Malaysian Communications Multimedia Content
Code (Content Code), applies to advertisements
communicated electronically. - Malaysian Code of Advertising Practice (MCAP),
administered by the Malaysian Advertising
Standards Authority (ASA), applicable to print
advertisements. - The Code of Pharmaceutical Marketing Practices
for Prescription (Ethical) Products (PhAMA
Code), applies to interactions of pharmaceutical
companies with healthcare professionals. - Cosmetic Advertising Code (CAC), provides
guidance to the cosmetics industry.
44GUIDELINES ON MEDICAL PRODUCTS AND APPLIANCES
MALAYSIA
- General Principles
- Impressions of Professional Advice or Endorsement
- Advertisements should not contain statements
and/or have any visual and/or audio presentation
of doctors, dentists pharmacists, scientists,
nurses and other paramedics, etc., which give the
impression of professional or scientific advice,
recommendation or endorsement. - Advertisements should not contain statements or
visual presentation which is, or likely to be
interpreted to be contrary or offensive to the
standard of morality or decency prevailing in the
Malaysian society. - Advertisements should not contain anything, which
might lead or lend support to acts of violence,
or criminal or illegal activity.
45GUIDELINES ON MEDICAL PRODUCTS AND APPLIANCES
MALAYSIA
- General Principles (cont.)
- Trust, Fear or Superstition Advertisements
should not - - be so framed as to abuse the trust of the
consumer or exploit his lack of experience or
knowledge. - without justification play on fear
- play on superstition or exploit the
superstitious. - directly or by implication exploit the religious
requirement/beliefs of any community - Advertisement should not, without justifiable
reason, show or refer to dangerous practices or
manifest a disregard for safety. - Advertisements should not contain any statement
disparages either the medical profession or the
value of professional attention and treatment or
another product. - Advertisements should not discredit or unfairly
attack other products, advertisers or
advertisements directly or by implications.
46GUIDELINES ON MEDICAL PRODUCTS AND APPLIANCES
MALAYSIA
- General Principles (cont.)
- Advertisements addressed to children or young
people, or likely to be seen by them, should not
contain anything, which might result in harming
them physically, mentally, or morally, or which
exploits their credulity, their lack of
experience or their natural sense of loyalty . - Advertisements should not mislead the consumer.
- All descriptions, claims and comparisons which
relate to matters of objectively ascertainable
facts should be capable of substantiation - Reference expressly or by implication to test,
trials, research and the like may only be used if
they are fully substantiated by authoritative
evidence acceptable by the Medicine
Advertisements Board.
47GUIDELINES ON MEDICAL PRODUCTS AND APPLIANCES
MALAYSIA
- General Principles (cont.)
- No advertisement for a product may include a
testimonial by - a professional or scientific association, body or
organization - a person well-known in public life, sport,
entertainment, professional or scientific bodies,
associations, organizations etc - Name of Product or Brand Name
- term Doctor or Dr. is not acceptable unless
the product was marketed under the name prior to
1st. July, 1977. - should not indicate or imply its effectiveness or
superior quality. - should not highlight the name of manufacturer or
foreign country of origin
48Questions ?