ethical promotion of prescription drugs - guidelines
DESCRIPTION
The IFPMA code on promotion of prescription drugs to medical professionalsTRANSCRIPT
Regulatory guidelines for
promotion of Prescription drugs
Based on,
IFPMA Code of Pharmaceutical Marketing Practices
Ethical Promotion of prescription Drugs
• Implementation of the code is a matter of self regulation and self discipline
IFPMA Code of Pharmaceutical Marketing Practices
• It sets out the standards for ethical promotion of pharmaceutical products to healthcare professionals.
Does NOT seek to regulate -
• Promotion of prescription drugs to consumers (DTC advertising).
• Promotion of self medication products (OTC medications).
• Provision of non promotional information.
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Industry relationships with healthcare professionals must support, and be consistent with, the professional responsibilities that healthcare professionals have towards their patients.
Pharmaceutical companies must maintain high ethical standards when conducting promotional activities and comply with applicable legal and professional requirements.
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All printed promotional materials other than
reminder advertisements must be legible and
include :
• the name of the product (normally the brand
name),
• the active ingredients,
• the name and address of the pharmaceutical
company or its marketing agent,
• date of production of the advertisement,
• the abbreviated prescribing information.
Printed Promotional Material
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This should include the following:
• Approved Indications
• Dose
• Method of use
• Succinct statement of contraindications, precautions and side effects
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• Promotional material should not mislead by distortion, exaggeration, undue emphasis or omission, or in any other way.
• Absolute or all-embracing claims should
be used with caution and only with adequate qualification and substantiation.
• Descriptions such as ‘safe’ and ‘no side effects’ should generally be avoided and should always be adequately qualified.
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Promotion should be capable of substantiation either by reference to the approved labeling or by scientific evidence. Such evidence should be made available, on request, to healthcare professionals.
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It is a short advertisement consisting of • Name• Simple statement of indications to
designate therapeutic category
Such reminders may avoid API.
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Clinical assessments, post-marketing surveillance and experience programs, and post-authorization studies must not be disguised promotion.
© D Sharon Pruitt
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Material relating to pharmaceutical products and their uses, whether or not promotional in nature, that is sponsored by a company, should clearly indicate by whom it has been sponsored
Transparent sponsorships
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• In accordance with local laws and regulations, free samples of a pharmaceutical product may be supplied to healthcare professionals in order to enhance patient care.
• Samples should not be resold or otherwise misused.
• Companies should have adequate systems of control and accountability for samples provided to healthcare professionals, including how to look after such samples while they are in the possession of medical representatives
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Cash Payments in cash or cash equivalents (such as gift certificate) must not be offered to healthcare professionals.
Personal gifts Gifts for the personal benefit of healthcare professionals (including, but not limited to, music CDs, DVDs, sporting or entertainment tickets, electronic items) must not be provided or offered.
Cultural courtesy gifts An inexpensive gift not related to the practice of medicine may be given on an infrequent basis to healthcare professionals in acknowledgement of significant national, cultural or religious holidays.
• Promotional aids Promotional aids or reminder items may be
provided or offered to healthcare professionals and appropriate administrative staff, provided that the gift is of minimal value and relevant to the practice of the healthcare professional.
• Medical Utility items Items of medical utility may be offered or
provided free of charge, provided that such items are of modest value and beneficial to the provision of medical services and for patient care.
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Including audiovisuals The same requirements that apply to
printed materials also apply to electronic promotional materials and websites.
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• The identity of the pharmaceutical company and of the intended audience should be readily apparent.
• The content should be appropriate for the intended audience.
• The presentation (content, links, etc.) should be appropriate and apparent to the intended audience.
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Limited to,
• Travel
• Meals
• Accommodation
• Registration fees
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• Companies should avoid using renowned or extravagant venues.
• Hospitality should be limited to moderate and reasonable refreshments and/or meals incidental to the main purpose of the event and should be provided only to participants in the event and not their guests.
Hospitality
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• As a general rule, the hospitality provided should not exceed what healthcare professional recipients would normally be prepared to pay for themselves.
• No stand-alone entertainment or other leisure or social activities should be provided or paid for by member companies. At events, entertainment of modest nature, which is
secondary to refreshments and/or meals, is allowed.
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Payments of reasonable fees and reimbursement may be provided to healthcare professionals who are providing genuine services as speakers or presenters on the basis of a written contract with the company at the event.
Other Healthcare professionals cannot be compensated for time spent in attending an event, e.g. a company-sponsored meeting or scientific congress.
Compensation
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IFPMA Code of Pharmaceutical Marketing Practicesedrneelesh.blogspot.com
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