Saturday, April 27, 2013

$15,000 Annual Fee for Compounding Manufacturers Could Net FDA $45 Million for Inspections


“No Compounding Allowed” Drugs Would Be Established Under Senate Draft Bill

Word Count: 1080 / Article # 14130426008 / Posted: April 26 2013 6:55 PM


Executive Summary

A $15,000 annual establishment fee for “compounding manufacturers” could net FDA $45 million for inspecting those compounding sites.
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Question of the Day: 4/27/13 Isn't IACP in fact correct that this bill will cause more confusion and blur the jurisdictional line?


IACP 'think[s] the term “compounding manufacturer” and several of the definitions of that new category create more confusion and further blur the jurisdictional authority of regulators."  Isn't IACP     in fact correct that this bill will cause more confusion and blur the jurisdictional line?  Won't this bill in fact cause more court litigation over these definitions, the jurisdiction and who in fact fits within these definitions and falls under the FDA's jurisdiction?

IACP's Statement Regarding Draft Federal Legislation


U.S. Senate HELP Committee Releases Draft Compounding Bill 

IACP just today received a copy of the draft bill and we are still reviewing it. We applaud the steps the Committee and the U.S. Senate are taking to ensure that compounded medications are as safe as they can be. IACP believes that the safety of patients must always be the first consideration of any pharmacy-oriented public policy. 
From our preliminary review of that draft, we see that there are some aspects of the draft that will need further discussion and refinement, and we intend to work with the Committee on these. The draft does not contain any provisions that speak directly to standards aimed at raising the quality of compounded medications.   Additionally, IACP is concerned that some provisions may reduce patient and physician access to customized medications, the very services that compounding pharmacists provide.
IACP reiterates its position that state boards of pharmacy are responsible for the licensing and oversight of compounding pharmacies and the FDA is responsible for overseeing and regulating pharmaceutical manufacturers. We think the term “compounding manufacturer” and several of the definitions of that new category create more confusion and further blur the jurisdictional authority of regulators. IACP will recommend improvements in the draft language to make the proposed categories more clear.
Most importantly, IACP is gravely concerned that compounding pharmacies located in hospitals and health systems have been exempted from many of the proposed changes. Such an exemption denies patients and their families the assurance, regardless of where they receive their medications, of the quality and safety that they deserve. 
We look forward to continuing to work with the House and Senate on refining this legislation.

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Numerous Free Powerpoint Presentations on Compounding

can be found here

Powerpoint on Inspection of Pharmacy for Compliance to Florida Law done on April 8, 2013

can be viewed here

COMPOUNDING – Are you following the rules? Dr. Lynne White-Shim MS, DVM Assistant Director, Scientific Activities American Veterinary Medical Association Powerpoint

can be viewed here

Compounding Policy Update from AVMA


We want to thank our members who shared their input on the proposed revisions to the AVMA’s Compounding and Compounding from Unapproved (Bulk) Substances policies. We received some great input.
Getting member feedback on these policies is critical, because we recognize there’s a balance to be struck between the necessity to use FDA-approved drugs with known safety and efficacy, while also meeting your compounding needs and those of your patients. We all recognize that compounding is a critical tool for specific patients with special needs that can’t always be met by FDA-approved drugs.
Word has it that the Senate is drafting federal legislation that could be introduced very soon. Therefore, our volunteer governance groups are going to be working as quickly as possible to solidify the AVMA’s compounding policies so that we can use them to advocate on your behalf on Capitol Hill, in defense of your compounding needs.
Stay tuned, because we will need your help communicating AVMA’s policies to members of Congress when legislation is ultimately introduced. In the meantime, we have helpful compounding resources on our website, including a new PDFyou can review to find out if you’re following the current rules.
Quoted from Source found here