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REGULATORY CONSIDERATIONS FOR NANOTECHNOLOGY IN PUBLIC HEALTH

REGULATORY CONSIDERATIONS FOR NANOTECHNOLOGY IN PUBLIC HEALTH. FOOD AND DRUG ADMINISTRATION Norris E. Alderson, Ph.D. Associate Commissioner for Science. FDA REGULATES. 20 percent of the consumer purchases $50 billion of medical R&D 8 million import shipments/year

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REGULATORY CONSIDERATIONS FOR NANOTECHNOLOGY IN PUBLIC HEALTH

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  1. REGULATORY CONSIDERATIONS FOR NANOTECHNOLOGY IN PUBLIC HEALTH FOOD AND DRUG ADMINISTRATION Norris E. Alderson, Ph.D. Associate Commissioner for Science Ohio Nano-Summit March 3, 2005

  2. FDA REGULATES • 20 percent of the consumer purchases • $50 billion of medical R&D • 8 million import shipments/year • Food, drugs, biologicals, devices, cosmetics, blood • Counter terrorism products Ohio Nano-Summit March 3, 2005

  3. Foods All interstate domestic and imported, including produce, fish, shellfish, shell eggs, milk (not meat or poultry) Bottled water Wine (<7 alcohol) Infant formula Food additives Colors Food containers Cosmetics Dietary Supplements Animal Feeds Pharmaceuticals Human Animal Tamper resistant packaging Medical devices Radiation emitting electronic products Vaccines Blood products Tissues Sterilants Counter-terrorism products FDA REGULATED PRODUCTS Ohio Nano-Summit March 3, 2005

  4. FDA ORGANIZATION • Center for Biologics Evaluation and Research • Center for Drug Evaluation and Research • Center for Devices and Radiological Health • Center for Food Safety and Applied Nutrition • Center for Veterinary Medicine • Office of Regional Operations • National Center for Toxicological Research Ohio Nano-Summit March 3, 2005

  5. NANOTECHNOLOGY DEFINTION • The existence of materials or products at the atomic, molecular, or macromolecular levels, where at least one dimension that affects the functional behavior of the drug/device product is in the length scale of approximately 1-100 nm range. • The creation and use of structures, devices and systems that have novel properties and functions because of their small and/or intermediate size. • The ability to control or manipulate on the atomic scale. Ohio Nano-Summit March 3, 2005

  6. RISK MANAGEMENT APPROACH • FDA regulates products on a product-by-product basis • Pre-market approval • Pre-market “acceptance” • Post-market • FDA does not regulate “technologies” • Product review process is not static – as we learn more, we evolve the process • Provide assistance to the industry we regulate Ohio Nano-Summit March 3, 2005

  7. FDA CONSIDERATIONS FOR NANOSIZED PRODUCTS • Nomenclature • Quality • Safety • Environmental • Many approved products of nano-sized components • Drugs and devices are in nano-size range at site of action Ohio Nano-Summit March 3, 2005

  8. “NANOSIZING” OF DRUGS • Particle size reductions of drugs has the potential to: • Increase surface area • Enhance solubility • Increase rate of dissolution • Increase oral bioavailability • More rapid onset of therapeutic action • Decrease the dose needed • Decrease fed/fasted variability • Decrease patient to patient variability Ohio Nano-Summit March 3, 2005

  9. FDA NANOTECHNOLOGY FAQS • Who will review nanotechnology products? • What will be the requirements for nanotechnology products? • Does FDA have a nanotechnology research program? Ohio Nano-Summit March 3, 2005

  10. WHO WILL REVIEW? • Product specific – specific product center • Many expected to be combination product – Office of Combination products • Specific center designated primary responsibility • Consultations with other centers Ohio Nano-Summit March 3, 2005

  11. WHAT WILL BE THE REQUIREMENTS FOR APPROVAL? • Products are reviewed on product by product basis • FDA has in place guidance/requirements for most products • To date there have been no issues with current products as a result of size • Concern for unidentified issues – Will address those as they develop Ohio Nano-Summit March 3, 2005

  12. DOES FDA HAVE A NANOTECHNOLOGY RESEARCH PROGRAM? • Skin absorption and phototoxicity of titanium dioxide and zinc oxide and dermal penetration of quantum dots. • In vitro assays to assess toxicity of nanoparticles • Characterization of physical and chemical properties of nanoparticles Ohio Nano-Summit March 3, 2005

  13. FDA NANOTECHNOLOGY POLICY COORDINATION • FDA is a member of the Nanoscale Science and Engineering Technology (NSET) Subcommittee of the National Science and Technology Council (NSTC) Committee on Technology • FDA co-chairs the NSET Nanomaterials Environmental and Health Implications (NEHI) Working Group • Within FDA, Nanotechnology Interest Group meets quarterly to review nanotechnology issues across the product centers. • FDA product centers have regular discussion group meetings to review issues within their respective centers. • FDA nanotechnology research programs Ohio Nano-Summit March 3, 2005

  14. NANO-REGULATORY ISSUES • FDA has only limited authority for potentially high risk nano-products (e.g., cosmetics) • Existing pharmtox tests are probably adequate for most nano-products • Nomenclature – What is a nano-particle? What are properties of nano-particles? Same chemical – smaller size – new formal definition? • Limited basic public health research on nano-materials • For new nano-materials, new “tools” may be needed Ohio Nano-Summit March 3, 2005

  15. CHALLENGES!! • New technology - unknown risks • Education - A bad job here can minimize the utility • Stakeholder involvement • Early involvement of all parties • Risk communication • Communication with new manufacturers • Timely reporting of relevant scientific findings Ohio Nano-Summit March 3, 2005

  16. APPROVAL WHEN? • Open communication between nanotechnology/medical product manufacturers and FDA • Ask for FDA assistance • FDA web site: www.fda.gov/nanotechnology • Norris Alderson • 30l-827-3340 • norris.alderson@fda.hhs.gov Ohio Nano-Summit March 3, 2005

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