FDA Public Meeting to Discuss Task Force Report

The Food and Drug Administration has announced its next public meeting to discuss the results of the Nanotechnology Task Force report.  The meeting is September 8, and any comments on the Report are due by August 24.  The meeting will be held at University Systems of Maryland.

The meeting agenda is posted online, and the session to begin at 8:30 and conclude by 5:00.  In addition, the FDA has listed several product specific questions to be discussed during the breakout sessions.  Those questions are listed after the jump

Product-Specific Questions to be Discussed at Nanotechnology Public Meeting: (taken from FDA website)

BREAKOUT SESSION: Medical devices, including diagnostics (discussion will include combination products)

  1. Are there general parameters or screening tools by which to evaluate the likelihood that a particular material might have nanoscale-specific properties and to decide when and what sort of further evaluation might be warranted? Are there characteristics and properties of materials that FDA can use to broadly categorize materials with respect to their likelihood of having nanoscale-specific properties warranting further review?
  2. What data and information should be considered in determining whether the presence of a nanoscale version of material in an existing device could affect the device's regulatory status, for example, in determining whether that device remains substantially equivalent to a predicate device?
  3. Do the existing Quality System Regulation requirements for process validation adequately address issues for manufacturing nanotechnology products, including issues related to demonstrating batch-to-batch reproducibility?
    (Product classification/combination product question)
  4. Do you believe that nanoscale products or products that contain nanoscale materials raise any novel questions relevant to their classification as biological products, devices, drugs, or combination products?  For instance, if an article achieves "its primary intended purposes through chemical action within or on the body of man or other animals" or is "dependent upon being metabolized for the achievement of its primary intended purposes," it can be a "drug" (including a drug constituent part of a combination product) but cannot be a "device" (including a device constituent part) (21 USC 321(h), 21 CFR 3.2). Do you believe that any nanoscale therapeutic articles, including constituent parts of combination products, interact with the body in ways that raise novel questions for determining whether the interaction should be viewed as a chemical action, as the article's being metabolized, or as some other form of interaction? Please provide examples to illustrate your views.

BREAKOUT SESSION: Prescription drugs, including biological, animal and over-the-counter (OTC) drugs (May include sunscreen)

  1. Are there general parameters or screening tools by which to evaluate the likelihood that a particular material might have nanoscale-specific properties and to decide when and what sort of further evaluation might be warranted? Are there characteristics and properties of materials that FDA can use to broadly categorize materials with respect to their likelihood of having nanoscale-specific properties warranting further review?
  2. What are the unique manufacturing features of products containing nanoscale materials and how should these be evaluated?
    • Is the manufacturing process understanding and development for nanoscale materials different from that of conventional drugs?
    • Does the use of nanoscale materials affect scale-up? If so, how?
    • If you develop a nanoscale material-containing product under the Quality by Design (QbD) paradigm, does this contribute to process understanding and manufacturing capabilities?
    • Can nanoscale materials affect product formulation, components, excipients, and processing?
  3. What are unique physicochemical attributes of products containing nanoscale materials?
    • How do they impact controls, standards, specifications, etc.?
    • How do they affect characteristics and performance of a product?
    • How do they complicate development and manufacturing of these products?
  4. What has been your experience to date with products containing nanoscale materials and/or have you avoided these products due to concerns about development, characterization, and manufacturing?
  5. What additional questions focusing on characterization and manufacturing aspects of products containing nanoscale materials should be addressed in this forum or brought to the attention of CDER?

BREAKOUT SESSION: Food and color additives, including food contact substances

  1. Can you identify specific classes of food ingredients or packaging components derived from or incorporating nanotechnology that you would identify as raising or not raising unique safety concerns and why?
  2. In your experience, what analytical methods and tools have proven to be of the most use to you in characterizing nanoscale materials? Looking to the future, can you suggest methods that might be developed or refined to augment those methods currently used?
  3. What physical characteristics of food-related nanoscale materials are of greatest concern regarding the safety of dietary consumption?
  4. Nanoscale food ingredients and food packaging may behave differently than macroscale materials. For example, nanoscale materials may agglomerate in food, interact with other components of the food matrix, and interact in the human body following ingestion. What methods are you using to characterize nanoscale materials in the food matrix and in the human body following ingestion?
  5. Are the current FDA Redbook toxicological endpoints and array of toxicity tests used for assessing the safety of macroscale food ingredients and packaging components sufficient to describe the toxicity of their nanoscale counterparts, or must new endpoints and assays be considered? Are you aware of any other toxicity tests not presently in wide use that may be more suitable? Are there toxicity tests that could be used to bridge data on macroscale ingredients to their nanoscale counterparts?
  6. Is nanotechnology applied to food ingredient and food packaging production primarily to create new effects for such compounds or to enhance existing effects? What are the perceived impacts on regulatory status or good manufacturing practice in each of these scenarios?
  7. How can FDA better communicate issues of regulatory status and safety of food ingredients and packaging components derived from nanotechnology to the public and industry?

BREAKOUT SESSION: Dietary supplements

  1. What data are there on whether nanoscale versions of common low solubility salts of dietary ingredients have new properties or characteristics?
  2. Would additional absorption, distribution, or safety data be needed to demonstrate the safety of a nanoscale version of an existing dietary ingredient?
  3. What data and information should be considered in determining whether a nanoscale version of an existing dietary ingredient is a new dietary ingredient?

BREAKOUT SESSION: Cosmetics

  1. What characteristics or types of nanoscale materials would be important to specify when considering potential risks of cosmetic products.
  2. If your company markets a cosmetic product with nanoscale particles, what function do they perform, at what concentration are they used, and how stable are they in the formulation?
  3. What, if any, additional studies are done for a product containing nanoscale particles to prove that this type of formulation is safe? What differences in safety or absorption have you observed between products formulated with nanoscale particles versus those that are formulated with [macroparticles] non-nanoscale materials?
  4. Are safety assessments being done at the bulk ingredient level or final formulation or both? How do these assessments differ?
  5. What is the effect on bioavailability of making larger particles nanoscale? Would you expect to see increased absorption/toxicity?

 

FDA Regulation of Nanotechnology?

By Tim Cahill:

Yesterday the FDA's Nanotechnology Task Force released its report on the scientific and regulatory challenges related to the use of nanotechnology in products regulated by the FDA. As reported in our July 10, 2007 post, the Task Force's report did not call for additional FDA regulatory authority in this area. The Task Force concluded that the use of nanomaterials in products regulated by the FDA presents challenges similar to those products using existing technologies and other emerging technologies. Further, the Task Force determined that the current science on nanotechnology does not suggest that products using nanomaterials require additional labeling.

The Task Force, however, did recognize that the unique properties of nanomaterials could at some point create challenges with respect to product safety and effectiveness. To that end, the Task Force recommended the consideration of agency guidance that would clarify what information manufacturers should provide to the FDA about products utilizing nanotechnology and would clarify the circumstances under which the use of nanomaterials would change the regulatory status of particular products. The report also recommends that the FDA assess its data needs to better regulate nanotechnology products, develop in-house expertise on nanotechnology issues, and create mechanisms that will ensure the consideration of new nanotechnology information as it becomes available. Finally, the report encouraged the FDA to evaluate the adequacy of current testing approaches to assess the safety, effectiveness, and quality of nanoscale materials.

The Task Force's report can be found here.