Archive for April, 2012

  • Apr
  • 30
  • 2012

FDA Study Finds Lower Risk of Lung Cancer Among Menthol Smokers

Posted by Marla Scarola In FDA, Regulations, Tobacco, Uncategorized | No Comments »
FDA Study Finds Lower Risk of Lung Cancer Among Menthol Smokers

In March 2011, the Tobacco Products Scientific Advisory Committee released a report on the impact of menthol on public health.  Based on the committee’s review of all available evidence, they recommended the ban of menthol.  Following the release of TPSAC’s report, the FDA began a thorough review of their findings and also considered a report on the issue prepared by the tobacco industry.  Stakeholders continue to await the FDA’s final determination and it is unclear when this information will be available.

In the report, TPSAC concluded that the evidence is insufficient to conclude that smokers of menthol cigarettes face a different risk of tobacco‐caused diseases than smokers of non‐menthol cigarettes, but did note that epidemiologic data do not demonstrate increased disease risk in people.  Adding to this body of evidence is a study recently released by a scientist from FDA’s Center for Tobacco Products. The study used 20 years of data from the large nationally representative household health survey, the National Health Interview Survey (NHIS).  Included in the analysis were 6,074 smokers, including 1,417 who smoked only menthol cigarettes.  Not only did the author report no difference in lung cancer mortality or all cause mortality between all menthol smokers and nonmenthol smokers, menthol smokers at ages 50 and over had a lower risk of lung cancer mortality compared with nonmenthol smokers.

This latest FDA study adds to a growing body of evidence that suggests modest to statistically significant reduced risks for lung cancer among menthol smokers.  In the face of a potentially lower risk of lung cancer associated with menthol cigarettes, it will be even more difficult for the FDA to ban them from the market.

Posted by Marla Scarola, Senior Consultant. For more information, please contact Marla at marla.scarola@weinberggroup.com.

 

  • Apr
  • 26
  • 2012

Cetero FDA Action

If your company has used Cetero Research’s Houston facility to conduct bioanalytical studies between April 1, 2005 and June 15, 2010, your marketing applications may need to be repeated or confirmed. By now, you should have received a letter from FDA asking that new bioequivalence studies be conducted, or if there is supporting stability of the analyte throughout the entire frozen storage period, that samples from the original BE studies be re-assayed.

The week, FDA further clarified their requirements regarding studies conducted at Cetero during the aforementioned time frame as follows:

  • April 1, 2005, to February 29, 2008: Studies that were previously submitted as part of an approved or pending application, or studies that will be submitted as part of a new application, will need complete reanalysis (if adequate stability data exist) or repeat of the study.
  • March 1, 2008, to August 31, 2009: The Agency will accept studies for submission and review if the sponsor performs an independent third-party data integrity audit using the Bioanalytical Electronic Raw Data Audit Plan (provided by FDA). Further, studies that were previously submitted as part of an approved or pending application will also need verification of data integrity by an independent third-party audit.
  • September 1, 2009, to June 15, 2010: The Agency will accept studies for submission and review without reanalysis, repeating, or further audit by Cetero or a third party.

The Weinberg Group, a globally recognized regulatory and scientific consulting firm headquartered in Washington DC, has experience helping pharma companies in these matters. We were, in fact, a key player in remediating the similar MDS Pharma Services crisis at their Montreal facility in 2007, helping our clients prevail with minimal disruption to their organizations and supply chains.

If you are in need of our assistance, please do not hesitate to contact Jeff Antos (202.280.0815) immediately.

  • Apr
  • 23
  • 2012

Please Join Us For Our Next Webinar: “FDA User Fees- What Have They Done For You Lately?”

Please Join Us For Our Next Webinar: "FDA User Fees- What Have They Done For You Lately?"

“FDA User Fees – What Have They Done For You Lately?”

A Webinar Presented by The Weinberg Group

Wednesday, April 25, 2012

12 p.m. (EDT) | 9 a.m. (PDT) | 5 p.m. (GMT)

Online Registration

FDA user fees have been fact of life for regulated industry for nearly two decades. As you continue to comply by paying the fees, you should understand what the revenue does for you. This webinar will provide a history of the Prescription Drug User Fee Act (PDUFA) from its inception to its latest reauthorization (PDUFA V). We will discuss the various PDUFA mandates that FDA has described over the years and how well the Agency is doing in achieving their PDUFA goals. We will also cover the pending Generic Drug User Fee Act (GDUFA) and the potential impact it may have on the industry.

Please join Marla Scarola, M.S., Senior Consultant, as she discusses:

▪ Remembering a pre-PDUFA world
▪ History of PDUFA and achievements to date
▪ Goals of PDUFA V
▪ What is GDUFA and what are its potential benefits?

This complimentary, one-hour webinar is designed to help life science executives appreciate the value of user fees in an FDA-regulated world.

To join the webinar, please register here. Upon receipt of registration, a dial-in number and log-in information will be sent.

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