From: no-reply@erulemaking.net Sent: Thursday, October 20, 2005 11:23 AM To: Dockets, FDA Subject: Public Submission Please Do Not Reply This Email. Public Comments on Drug Approvals: Circumstances Under Which an Active Ingredient May Be Simultaneously Marketed in Both a Prescription Drug Product and an Over-the-Counter Drug Product:======== Title: Drug Approvals: Circumstances Under Which an Active Ingredient May Be Simultaneously Marketed in Both a Prescription Drug Product and an Over-the-Counter Drug Product FR Document Number: 05-17390 Legacy Document ID: RIN: Publish Date: 09/01/2005 00:00:00 Submitter Info: First Name: Joan Last Name: Malin Category: Organization Name: Planned Parenthood of New York City Comment Info: ================= General Comment:October 20, 2005 Acting Commissioner Andrew C. von Eschenbach Food and Drug Administration, HHS Division of Dockets Management 5630 Fishers Lane, Rm. 1061 Rockville, MD 20852 RE: Docket No. 2005N-0345 / RIN 0910-AF72 To Acting Commissioner von Eschenbach: We are writing on behalf of Planned Parenthood of New York City (?PPNYC?) to formally respond to the Food and Drug Administration?s request for public comment on whether to initiate a rulemaking process regarding the issues the Food and Drug Administration (?FDA?) claims are raised by the application to make the emergency contraception (?EC?) Plan B? available over the counter (?OTC?). In response to the questions posed in RIN 0910-AF72, PPNYC believes the first three questions (1A, 1B and 1C) should be answered in the negative, making it unnecessary to address the remaining questions. We do not believe there is any confusion over the interpretation of section 503 of the Federal Food, Drug, and Cosmetic Act. We feel it is clear that the delays in approving the application to classify Plan B? as an over the counter medication, and request for information these comments address, are the result of inappropriate political interference as opposed to ?significant confusion? over section 503?s interpretation. The questions over how to label, market and enforce an age-restricted medication are the end result of a process that has allowed politics and ideology to interfere with decisions that should be based on medical fact and reason. The mission of the FDA is to protect ?the public health by assuring the safety, efficacy, and security of human and veterinary drugs?,? not to pander to politically motivated opposition where objections have no grounding in medical or scientific research. Because the questions posed in the Request for Information are not the result of medically supportable facts that necessitate placing age restrictions on the medication?s use, it is simply inappropriate for the questions to be considered in conjunction with the FDA?s consideration of the Plan B? application. EC Approval Process Diverges from FDA Mission We are concerned that the FDA has diverged from its role of determining whether a medication that is the subject of an application seeking exemption from prescription-dispensing requirements, is ?safe and effective for use in self-medication . . . .? PPNYC has watched with dismay as politics has interfered with the application to make Plan B? available as an over the counter medication. Despite the recommendation of two FDA advisory committees that the application be approved, the application was denied. Similarly, the pending application has now been deferred for reasons that have no grounding in science. It is not the role of the FDA to limit access to a medication because some factions of society are morally opposed to its use. If limiting access to a medication, which has been shown to be safe and effective, is not necessary to protect public health, then it should be exempted from prescription-dispensing requirements. The FDA exists to protect public health by making evidence-based decisions on drug safety; the agency should not allow political agendas to substitute for science in making health decisions. Evidence Shows EC Is Suitable for OTC Use The FDA has received substantial documentation that offers clear and convincing evidence that EC is a safe and effective drug suitable for self-medication. Overwhelming evidence shows that EC is a safe and effective medication whose benefits are best realized by removing unnecessary barriers to access. This evidence has caused the American Medical Association and the American College of Obstetricians and Gynecologists to support making EC an over the counter medication. This support would not have been forthcoming if there were valid evidence showing it would be inadvisable or dangerous to public health if EC could be obtained without a doctor?s prescription. EC Benefits Unintended pregnancy is a public health issue that has long-ranging health impacts. Women with unintended pregnancy forego the opportunity to receive pre-conception counseling to improve the health of the fetus and are more likely to have low birth weight babies and experience a higher rate of neonatal mortality. Making EC available over the counter would enable women to obtain the medication in a timely manner. EC is a time-sensitive medication that is most effective the sooner it is taken after unprotected intercourse. Making the medication available over the counter will enhance women?s ability to prevent unintended pregnancy by allowing them to obtain the medication when it has the greatest potential for effectiveness. Use of EC by Teens Although concern about the use of EC by teens has been stated as the reason for denying the original application and then delaying a final decision on the application to make Plan B? available to women aged 16 and over, widespread support among mainstream medical organizations for making emergency contraception available over the counter makes that assertion untenable. Claims by EC opponents that easier access to EC will cause teens to engage in increased or unprotected sexual activity are not supported by evidence-based studies. Medical research shows that enhanced access to emergency contraception does not lead to increased rates of unprotected intercourse or pose a risk to minors. A study published in the January 5, 2005 edition of JAMA found that women with enhanced access to EC are no more likely to engage in unprotected sex or abandon use of other contraception methods than women who do not have easy access to the pills. The article?s findings are based on a study of over 2000 sexually active women aged 15-24. A similar study also found that increased access to emergency contraception did not cause minors to engage in unprotected intercourse. In addition, the American Academy of Pediatrics (AAP) is supportive of increasing the availability of emergency contraception, including over the counter access for teens. In its position paper on emergency contraception, AAP states, ?An increase in awareness and availability of emergency contraception to teens does not change reported rates of sexual activity or increase the frequency of unprotected intercourse among adolescents.? This medical support should dispel any myths that the medication is somehow dangerous to a minor?s health. Conclusion Because there is no scientific basis for restricting access to teens, it would be inappropriate to consider the questions posed in the Request for Information in conjunction with the application to approve Plan B? as an over the counter medication. In the interest of women?s health and the application of scientific data, we strongly believe the pending application to allow Plan B? to be sold over the counter should be approved without any age restrictions. Sincerely, Joan Malin President and CEO Planned Parenthood of New York City Maureen Paul, M.D. Chief Medical Officer Planned Parenthood of New York City