1 / 21

OTC Cold and Cough Products: Use in Children Advisory Committee Meeting October 18, 2007

OTC Cold and Cough Products: Use in Children Advisory Committee Meeting October 18, 2007. Joel Schiffenbauer, MD Deputy Division Director/DNCE Office of Nonprescription Products. Agenda. Introduction Monograph Petitioners Industry representatives FDA representatives Discussion

seoras
Télécharger la présentation

OTC Cold and Cough Products: Use in Children Advisory Committee Meeting October 18, 2007

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. OTC Cold and Cough Products: Use in ChildrenAdvisory Committee MeetingOctober 18, 2007 Joel Schiffenbauer, MD Deputy Division Director/DNCE Office of Nonprescription Products

  2. Agenda • Introduction • Monograph • Petitioners • Industry representatives • FDA representatives • Discussion • Open public session • Discussion and Questions

  3. What is the issue? • Are cough/cold products safe and effective in children?

  4. Citizen Petition • Children are frequently afflicted by the common cold • A growing body of evidence demonstrates that these products are not effective in young children • Although typically considered safe by parents and pediatricians misuse has led to significant adverse effects in children under 6

  5. Citizen Petition: Actions Requested • Provide a statement to the public explaining that OTC antitussive, expectorant, nasal decongestant, antihistamine and combination cough and cold products have not been shown to be safe and effective for the treatment of cough and cold in children under six years of age

  6. Citizen Petition: Actions Requested • Notify manufacturers of these products whose labeling uses such terms as “infant” or “baby” or display images of children under the age of 6 that: • such marketing is not supported by scientific evidence and • manufacturers will be subject to enforcement action at any time

  7. Citizen Petition: Actions Requested • Amend 21CFR 341 to require that labeling for OTC antitussive, expectorant, nasal decongestant, antihistamine and combination cough and cold products state: • these products have not been found to be safe or effective in children under 6 years of age for treatment of cough and cold and • these products should not be used for treatment of cough and cold in children under 6 years of age

  8. OTC Monographs • OTC Drug Review • Safety/Efficacy review of OTC drugs marketed in US prior to 1975 • >300,000 OTC drug products • 800 active ingredients in multiple therapeutic categories

  9. Cold, Cough, Allergy, Bronchodilator, and Antiasthmatic Drug Products for Over-the-Counter Human Use 21 CFR 341 • Therapeutic Categories • Antihistamine (21 CFR 341.12) • Antitussive (21 CFR 341.14) • Bronchodilator (21 CFR 341.16) • Expectorant (21 CFR 341.18) • Nasal Decongestant (21 CFR 341.20)

  10. Cold, Cough, Allergy, Bronchodilator, and Antiasthmatic Drug Products for Over-the-Counter Human Use 21 CFR 341 • Provides the following information: • Permitted active ingredients • Permitted combinations • Labeling • Statement of identity • Indications • Directions for use • Warnings • Professional labeling

  11. Examples of Combination Products Permitted in Monograph

  12. Sales Data: IMS Health, IMS National Sales Perspectives™, Retail and Non-Retail • Provides in units the amount of drug products purchased by retail and non-retail settings of care • Possible surrogate for use, assuming that facilities purchase drugs in quantities reflective of actual patient use

  13. IMS Health, IMS National Sales Perspectives™, Years 2002 – 2006

  14. IMS Health, IMS National Sales Perspectives™, Years 2002 – 2006

  15. What is the issue? • Are cough/cold products safe and effective in children? • Citizen petition • What is the evidence for efficacy of these products in children? • What is the safety profile of these products in children?

  16. Efficacy • Studies in children (limitations of study design) • Extrapolation of PK data • E11 Guidance Document: Clinical investigations of medicinal products in the pediatric population (December 2000) • Examples: chlorpheniramine, pseudoephedrine • Example of development and dosing determinations for drugs for treatment of allergic rhinitis

  17. Safety • Medication errors • Reports • Case reports/series in literature • AERS reports/TESS • Maryland Poison Control 2004 - children under 5 • Approximately 1100 calls related to cold and cough products • Approximately 1400 calls related to topical preparations products • For cold and cough products: 5 cases were coded as having symptoms consistent with an outcome of “moderate effect” all had complete resolution with supportive care • All 5 cases, except one, were acute accidental overdose (children inadvertently took medication)

  18. Points to consider • Is the disease process (common cold) similar in adults and children? • If so, is extrapolation of efficacy data appropriate for these indications? What additional PK data is needed? • If not, are clinical studies needed? consider difficulties with conducting studies in children • What do the published studies contribute to our understanding of the efficacy of these products? Do they demonstrate that these products are not effective in children?

  19. Points to consider • Are there safety issues that can be identified even when these drugs are used at the correct doses? • What contribution does unintentional overdosing make to the overall safety profile of these drugs? • What factors might contribute to unintentional overdosing and are these cases preventable (dosing devices, varying concentrations, overlapping ingredients)?

  20. Points to consider • Are there ages for which these products should not be used (consider less than 2, 2 to less than 6, and 6-12)? • If products are labeled “do not use” should this apply to consumers as well as to health care providers such that no one will use these products? • How should we address the use of combination products and the potential for medication errors when products contain multiple ingredients?

  21. Disclaimer • The Agency has not reached any final decisions as to actions to be taken in response to the Citizen Petition. Any recommendations expressed by individual reviewers should not be considered final decisions by the Agency.

More Related