Greg Levine. January 9, 20081 Enforcement Environment  Accelerating progression of off-label promotion cases – Not just “Big Pharma” – No “oncology exception”

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Presentation transcript:

Greg Levine

January 9, Enforcement Environment  Accelerating progression of off-label promotion cases – Not just “Big Pharma” – No “oncology exception”  Prosecutorial “Playbook” – Prosecutors know where to look company-wide  More cases coming down the pipeline – Past whistleblower success is breeding more disclosures  Prosecutorial cooperation is on the rise – Some state AGs participate in bimonthly conference calls – OIG collaborative trainings for state and federal prosecutors

January 9, What Happened to the First Amendment?  Washington Legal Foundation litigation – Trial court initially enjoined FDA policies and FDAMA provisions as unconstitutional – Case dismissed as moot on appeal – FDA sought public comment on First Amendment issues, but never resolved them or issued new policies – FDA has not even addressed the status of 21 CFR Part 99

January 9, Where is the FDA?

January 9, Waxman Leaked Draft Guidance on “Good Reprint Practices”  Reprints should be peer-reviewed  Published by organization with conflict disclosure policy  Distributed reprints/texts should not be – Primarily distributed by the drug or device manufacturer – Written, edited, or excerpted by or for the manufacturer – Edited or significantly influenced by a manufacturer

January 9, What Does Congress Think?

January 9, What Does Congress Think?  Grassley investigation of “educational grants”  Concern → use of grants to increase off-label use  Senate Finance Committee conclusion = “manufacturers have implemented policies meant to rein in these activities”

January 9, Senate Finance Committee Report  “ACCME’s records reveal numerous instances over the past 3 years in which companies have had too much influence over the content of supposedly independent educational programs.”  “Lack of proactive or real time oversight for educational grant programs.” – CME providers are not required to “run prepared text by the FDA, ACCME, or any regulatory authority.” – FDA and ACCME do not routinely place monitors in audience. – ACCME rarely takes disciplinary action; de-accreditation takes up to 9 years.

January 9, What Does Congress Think?  S. 2029, Physician Payments Sunshine Act  Periodic “transparency reports” of all direct or indirect payments to physicians, including funding relating to – “participation in a medical conference, continuing medical education, or other educational or informational program or seminar” – “provision of materials related to such a conference or educational or informational program or seminar” – “remuneration for promoting or participating in such a conference or educational or informational program or seminar”  Public access to reports via internet website