Comprehensive approach to Nicotine: Misperceptions, Regulation and Science

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Comprehensive approach to Nicotine: Misperceptions, Regulation and Science The Public Health View

Nicotine

Tobacco Products contain many chemicals

Hazard Index Analysis Chem Res Toxicol 25, 794, 2012

NICOTINE Cholinergic Receptor Brain, Autonomic Ganglia, Adrenals, Neuromuscular Junction Sympathomimetic Effects Heart rate Cardiac Output Skeletal muscle vasodilation Myocardial Contractility Heart Rate Variability Erectile dysfunction Blood Pressure Coronary resistance Endothelial dysfunction Deterioration of arterial compliance Lipolysis FFA VLDL/LDL ARRHYTHMIA/ PLAQUE RUPTURE/SUDDEN CARDIAC DEATH ATHEROGENESIS

Non-linear relationship between smoking and cardiovascular disease Most of the risk of smoking is at low doses: 80% of the harm at <3 cigarettes per day

A continuum of risk

Assessment and Communication of Risk Assessment of Absolute Risk Estimation of Relative Risk Evaluation of Risk Moderation Risk Communication Risk Management

Risk Communication as Part of FDA s Comprehensive Approach to Nicotine: Whose Job is it Anyway? Azim Chowdhury Keller and Heckman LLP Washington, DC Office +1 202.434.4230 chowdhury@khlaw.com Twitter: @ECIGattorney

History of Deception? Light, Low, Mild Claims not so much Section 911 MRTP Nicotine = tobacco?

New Era of Tobacco Harm Reduction Next gen products offer real THR opportunity the Continuum of Risk Without a doubt less harmful that smoking See RCP, PHE, NASEM, even American Cancer Society

The Continuum of Risk See Harm Minimization and Tobacco Control: Reframing Societal Views of Nicotine Use to Rapidly Save Lives David B. Abrams, Allison M. Glasser, Jennifer L. Pearson, Andrea C. Villanti, Lauren K. Collins, Raymond S. Niaura Annual Review of Public Health 2018 39:1, 193-213

Public Perception How should this be communicated to the public FDA appears to acknowledge Continuum of Risk see Deeming Rule preamble, Commissioner s remarks, etc. Drowned out by louder anti voices and eager media

Food and Drug Administration FDA s outreach efforts focus on harms of nicotine, not relative risk Impact on adolescent brain Addictive Cardiovascular impact All important concerns, but why such a one-sided approach to communication?

Resistance to Truth Why? Ideology based on precautionary principle Fear of the unknown long-term impact? Population risks? Tobacco industry baggage hampering real next gen reduced risk products

A Different Approach: UK British government now actively promoting vaping, physicians encourage patients to switch from cigarettes UK has second-lowest smoking rate in Europe

Correcting Misperceptions FDA encourages industry to engage in dialogue but the law prevents truthful communication of modified risk without approval First Amendment challenges to Section 911 MRTP provision now pending What role do the public health NGOs play?

Thanks! Azim Chowdhury Keller and Heckman LLP Washington, DC Office +1 202.434.4230 chowdhury@khlaw.com Twitter: @ECIGattorney

Risk Communication as Part of FDA s Comprehensive Approach to Nicotine: Whose Job is it Anyway? Role of Industry Jim Solyst Vice President, Federal Regulatory Affairs Swedish Match North America

OVERVIEW Use Commissioner Gottlieb Language Be Willing to Reach Out to Audiences Tell Stories; Provide Context Seek Opportunities to Work with Non-Industry Organizations The Audience is not FDLI State and Local Initiatives

Use Commissioner Gottlieb Language There is only one FDA Commissioner, and hopefully he is considered a credible source. And there is an abundance of language from Commissioner Gottlieb: July 28, 2017 Announcement; articles, speeches, Statements when issuing ANPRMs. Statements made by anyone from a regulated industry is suspect. Always better to quote a credible party: such as a satisfied customer, or an academic researcher for science based issues.

Be Willing to Reach Out to Audiences Company staff should serve as ambassadors and be willing to have informal conversations or formal presentations describing the harm (or lack thereof) of nicotine and the continuum of risk. Personal examples: Swedish American Chamber of Commerce; Swedish Ambassador Start with: As stated by FDA Commissioner Gottlieb

Tell Stories; Provide Context For Swedish Match it is the Swedish Experience and the story is: Human health evidence regarding nicotine Very low smoking rates in Sweden and Norway Stories about how we got in the situation we are in Lynn Kozlowski article in Harm Reduction about how US smokeless products ended up with the current warning labels: Origins in the USA in the 1980s of the warning that smokeless tobacco is not a safe alternative to cigarettes: a historical, documents-based assessment with implications for comparative warnings on less harmful tobacco/nicotine products

Seek Opportunities to Work with Non- Industry Organizations There is a need for organizations such as: Foundation for a Smoke Free World; Duke Margolis Center for Health Policy; Iowa Attorney General Tom Miller lead initiative. It would be nice to see academic institutions break out of the confines of research and address policy and risk communication needs. But can they deal with the controversy that seems to come when there is industry involvement?

The Audience is not FDLI I have spoken/written to more FDA officials than I have nicotine users Recent session with retailers: They are dealing with a huge influx of products; every week a manufacture asked them to carry a new product. Is this new product safe? Not is it low risk, but rather will it explode? How much nicotine is in the product and where does the nicotine come from? Is the manufacturer trustworthy?

State and Local Initiatives Need to communicate with state and local legislative bodies who are considering bills. Are they willing to let FDA take the lead? Do they care what Commissioner Gottlieb says?