Presentation to Parliamentary Portfolio Committee on Health

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Transcription:

Presentation to Parliamentary Portfolio Committee on Health Bill 6 of 2014 Medicines and Related Substances Amendment Bill Presented by: Anele Vutha South African Medical Device Industry Association 29 October 2014

SAMED is a trade association that represents the interests of a large proportion of manufacturers and importers of medical devices (> than 160) SAMED strongly supports a legislative framework that ensures that South African patients have access to medical devices that are safe, effective and of good quality SAMED is concerned that Bill 6, if not amended, will have unintended consequences for the access to medical devices by South African patients

Medical Devices a wide variety of products

Medical devices are varied - appropriate regulation is therefore complex ±1780 Medical devices introduced monthly in SA ±250 000 Medical devices available in SA (MediKredit 2014) ±500 000+ medical technologies, in 20 000 generic groups Eucomed 2014 South Africa must ensure it harmonises with international regulatory best practices (MediKredit 2014)

Differences in Medicine and Medical Devices MEDICINES Discovered Stable formulation developed Highly mechanised manufacture Consumed by use Systemic toxicity Large populations of exposure High % of self administration Patient may choose to stop use Use Medical Devices for administration (Needles & Syringes or Asthma pump) MEDICAL DEVICES Designed Constant improvements or changes Often manufactured by hand operations Available for study after use Adverse events most often local in nature Relatively limited populations of exposure Mostly intended for professional use Self use mostly intended for monitoring

It is crucial that industry has an opportunity to workshop the law line by linewith the DOH Approval of this Bill as it stands will introduce flaws into the law governing health products which will may have undesirable consequences for access of patients to medical devices and IVDs. Technical flaws Unclear composition of SAHPRA Capacity and Expertise Misalignment between Bill / Regulations / Guidelines Opens department to legal challenges

Difficulties with the public consultative process on the previous amendment Bill : SAMED has submitted written comments on the previous amendment Bill to the National Department of Health DoH has not incorporated industry s comments During public consultations, DoH should report back to those who commented (and to Parliament) on the outcome of the comments supplied: to ensure good governance and transparency

Changes to Medical Device Legislation 2008 2014: Before 2008 2009 2012 2014 Act 101 Devices not regulated Act 72 SAMED presented to Parliament Instructed by Parliament to workshop with DOH, which was successful Act 72 not implemented Gazette 15 Mar 2012 SAMED provided comment Reverses carefully drafted provisions of Act 72 SAMED to workshop with DOH again Bill 6 Comments not taken on Board SAMED presenting to Parliament again We are here

Bill 6 of 2014: Main Concerns #1. Replacement of products with medicines and scheduled substances throughout the Bill -s1 and throughout the Bill #2. Erroneous inclusion of Medical Devices and IVD s under clauses that previously only pertained to Medicines-s2B (f); s16; s18; s22as22b; s22c; s22h; s28; s29; s21; s35 #3. Criteria for evaluation of medical devices and IVD s remain aligned with medicines (Conformity Assessment Bodies, Essential Principles of Safety and Performance, labeling, use of scheduling, and supply chain differences are not taken into account) -s2b, s15; s16; s 22H #4. Medical devices registered via other local regulatory bodies are not accommodated #5. Overlap and conflicts with existing legislation not taken into account #6. Grandfathering/sunsetting clauses and transitional period not provided for #7. Health Economic Policy and Registration do not belong in the same Act -s36

Concern # 1: Registration of Scheduled Substances From the Department of Health s presentation to Parliament, 3 rd September 2014:Bill 6 is necessary to replace the word products with medicines and scheduled substances to ensure precision and technical correctness. It is SAMED s view that inclusion of scheduled substances, which appears throughout the Bill, is inappropriate in certain sectionsand will create confusion. The result will be the opposite of precision and technical correctness.

Concern # 1: Registration of Scheduled Substances Scheduled substances should not be subject to separate registration because: they are ingredients /components of products and are not sold as stand-alone items medicines, medical devices, in-vitrodiagnostics, etc.. that contain scheduled substances are sold to appropriate users (not directly to the patient) the reference to scheduled substances will drag medical devices, in-vitrodiagnostics, etc. into inappropriate medicine registration and regulatory requirements The quantity, purpose and effect of scheduled substances on a medical device is not the same as a therapeutic dose found in a medicine

Proposed registration of Scheduled Substances will result in: The opposite of precision and technical correctness Double registration for some products Inefficiencies, backlogs in registrations Categories of products other than medicines will: Need a responsible dispensing pharmacist Be subject to single exit pricing Require special labelling Require licensing of premises as a pharmacy Stand-alone registration of scheduled substances -regulated as what? Medicine? Medical Device? The changes to Bill 6 have not been thought through. The only remedy is for industry stakeholders and the DoH to review the law line by line and have open discussions about the effects of the changes to the law on the supply of medical devices. Parliamentary approval of the Bill as it stands should not be considered. Concern # 1

Concern #2: Erroneous inclusion of Medical Devices under clauses that previously only pertained to Medicines Unintended consequences Need a responsible dispensing pharmacist for devices (imagine a Pharmacist dispensing an x-ray machine) Be subject to single exit pricing Require special labelling, package inserts, etc. Require licensing of premises as a pharmacy Be subject to medicine supply chain requirements for wholesalers Review sections 18, 22A, 22C, 22H, 35

Proposals for Control of Medicines, Medical Devices Separate the control of MDs & IVDs from Medicines Supply Chain is very different from Medicines Medical Devices are distributed to Health Care Establishments / Professionals except for low risk classes as is the case with Medicines. Medical Devices should not be subject to Pharmacist control Medical Devices are out of scope of practice/training of Pharmacists Combination Medical Devices are sufficiently controlled under HCP Unlike Medicines, majority of Medical Devices are used under the care of a HCP in a clinical setting. Medicines on the other hand are taken at home under self administration. Make provision for those products that sit on the fence where dual registration may be required

Concern #3: Criteria for evaluation of medical devices and IVD s remain aligned with medicines International Best Practices Evaluation of medical devices makes use of accredited Conformity Assessment Bodies Reduces the need for costly government bureaucracy Flexible, to accommodate rapidly changing technologies Harmonised internationally Medical Devices are checked against Essential Principles of Safety and Performance, not medicines criteria Medical Devices have international standards for labelling and Instructions for Use, which differ from requirements for medicines Medical Devices are not scheduled, nor should their components be scheduled this does not occur anywhere else in the world Medical devices are not supplied via wholesalers and do not follow the typical medicines supply chain, therefore cannot be regulated similarly

1 Supply Chain Medical Devices Manufacturer can be same for + 100 Legal Manufacturers (OEM) Manufacturer 2 3 4 Both HQ Manufacturer and Country Affiliate can appoint other local Distributors / Third Parties Mobile kits storing inventory on the go. Customers are HCP / HC Establishments Rep / Agent Inventory Affiliate / Distributor/ Dealer Warehouse Inventory Instructions 1 4 MoH Application 2 Customers Customer HCP/ HCP 3 MoH Application 2 Ministry of Health Products

Concern #4: Medical devices registered via other local regulatory bodies are not accommodated

Concern #5: Overlap with existing legislation National Health Act Consumer Protection Act Hazardous Substances Act Human Tissue Act Health Professions Act Medical Schemes Act etc.

Concern # 6: Grandfathering/Sunsetting clauses and transitional period not provided for Enact transitional measures in a phased manner learn from the Complimentary Medicines implementation! Enact and clarify lawfulness of products already on the market

Concern #7: Health Economic Policy and Registration do not belong in the same Act Regulation in Act 101 is for the purpose of assuring Safety, Quality and Performance Section 16 (1) C refers to barring products from registration if.not in the public interest This is a catch-all clause to empower the Regulator to prevent access to products for reasons which go beyond safety and effectiveness/performance Amendments in the proposed Bill could mean that all pricing, tendering, procurement, essential equipment lists will fall under registration legislation does not belong in Act 101

Bill 6 of 2014: Other Concerns 1. Registration denied if not in the public interest s2a; s16 2. Pricing, tenders, procurement, essential equipment lists will fall under registration legislation should be left to health policy - s36 3. Replacement of the Registrar with a single CEO - s2c(3); s3 4. Independence of SAHPRA is crucial 5. Current definitions of medical devices and IVD s are not internationally harmonised Act 101 6. Proposed structure, funding and independence of the Regulatory Authority does not accommodate appropriate and efficient regulation of medical devices and IVD s (e.g. appeals process) 7. Naming rules too aligned with medicines, number of variants in devices not taken into account - s15

Successful Introduction of Medical Device Regulation Policy formulation in the Department of Health is good. However, excellence in implementation is key. Previously DoH has not been able implement regulation effectively. Backlogs, delays and confusion have affected health care delivery to South African patients. Unless DoH has clear measurables, project plans with deadlines that they are obliged to meet, there will be no improvement. Parliament must hold the DoH accountable. Implementation model and option appraisal for the proposed Regulatory Institute should be presented to the committee for Review Important because this is where training and capacity building will originate NDOH to present clear project plans with timelines and measurable outputs for implementation of SAHPRA and Regulatory Institute

DOH needs to be part of international regulatory working groups Memoranda of Understanding with other Regulatory Authorities is important so far only one has been initiated Local ad hoc regulation does not work in a globalised world. DoH should participate in the working groups of international regulatory harmonisation organisations, who take on board the best expertise and provide training [AHWP/ IMDRF/WHO] Specific plans are required for training regulatory staff, building appropriate infrastructure and IT systems The regulator must have control of own budget.

SAMED Recommendations We ask the Portfolio Committee on Health to: Take heed of the concerns of people supplying medical devices Be concerned that the Bill, as is, may result in delay of access to medical devices for South African patients and other unintended consequences Request the Department of Health to workshop with the industry to adjust the proposed legislation taking industry s comments into account to provide a solid, legally sound foundation from which Regulations and Guidelines can flow

Workshop Focus Areas Include additional definitions Provide for Divisional Heads (Registrars) Separate Sections for different Control & Sale Provision committing to Mutual Recognition Provision to commit to timelines via Regs Abbreviated reviews Amendments /Conflicts to other legislation Commit to an Implementation Plan / Phased Road Map Capacity Building Alignment of Legal Framework Scheduled Substances in context of Medical Devices

Align & Balance (Remove Medicine Bias) ENABLING ACT Medicine Focused Need to allow for Medical Device Specific Sections / Clauses Specific Sections for MD Further Discussions Parliamentary Portfolio REGULATIONS Not Device Specific Scheduled Substances in MD Medicines Pharmacist / Medicines Controls? Further Discussions Workshop GUIDELINES Welcome as MD tailored & harmonised. Comments Open. Timelines Critical Global Aware e.g. Trials Further Discussions Workshop

Road Map Proposals PREMARKET PRODUCT MANUFACTURERS FOCUS AREA FOR LICENCING USE MUTUAL RECOGNITION TO FAST TRACK AND CURB POOR QUALITY IMPORTS PLACING IN MARKET POST MARKET SALE VENDOR Supply Chain Licences New Product Registrations AFTER SALE / USE VENDOR / USER Listing of Vendors - Licencing Listing of Products - Registrations Removal process of Combination MD currently registered as Medicines Users (Other Acts)

RISK BASED APPROACH Priority Areas Hazard Control How, What, Who Hazard Risk What is Done Elsewhere? Expertise Capacity