Center
for Regulatory Effectiveness on FDA's Public Participation Program: Forcing
the Public to Review Discredited Studies
WASHINGTON, Nov.
19, 2010 /PRNewswire/ -- Months ago, CRE concluded that:
- Out
of all the studies cited by the FDA regarding the health effects of
menthol that the only end points of any potential significance dealt
with smoking initiation/cessation.
- The
initiation/cessation studies identified by FDA could not be used by the
FDA because they failed to meet the standards of the Data Quality Act.
- As
a result of CRE's numerous statements that the aforementioned
studies were not DQA compliant, that the FDA would award a grant to
an outside Federal Contractor not to do a new study but to perform a
review of the literature that would be policy based not science
based—meaning to identify any component of any existing study, however
trivial, that could be used as propaganda by select numbers of
TPSAC who had had already decided that the FDA should ban menthol.
- The
contractor which would be chosen by the FDA would be RTI
International.
- RTI
International would direct Dr. Hersey to perform the "study."
It
was for these reasons that CRE chose, out of the dozens of studies identified
by the FDA, for its first review a study conducted by Dr. Hersey and
published its results on April 29, 2010 and May 7, 2010.
CRE
also requested the comments from Dr. Hersey on May
17, 2010
CRE
had no response from either RTI International or Dr. Hersey.
This
inaction on the part of RTI International and Dr. Hersey resulted in CRE
filing a Data Quality petition
with the FDA, which included a finding that Dr. Hersey's study was not Data
Quality compliant.
Yesterday,
some six months later, on November 18, the FDA
announced that RTI International/Dr. Hersey was selected
to manage an analysis of a number of previous studies concerning smoking
initiation/cessation to be conducted by a number of institutions.
Compliance
with the President's Open Government Initiative requires FDA not to out spend
the public, but instead provide the public with definitive answers when the
public responds to its requests for information.
Consequently
in lieu of providing RTI International with additional funds to
develop talking points for select members of TPSAC, FDA should provide
RTI International with funds to respond to the detailed analyses
submitted by the public. The studies should be released to the public
by FDA, not RTI, to ensure that the said studies are compliant with the
Data Quality Act.
CRE's
work to date has not been in vain because we are pleased with the
serious attention the FDA is giving to the aforementioned DQA petition filed
by CRE and so noted in correspondence from the FDA to CRE.
For
a text with live links please see https://www.thecre.com/tpsac/?p=761
SOURCE
Center for Regulatory Effectiveness
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