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The responses, guidance, and advisories provided by the Pharmaceutical Advertising Advisory Board (PAAB), including but not limited to those available through the PAAB Forum, the PAAB website, and any PAAB correspondences, are specifically intended to assist individuals navigating the PAAB preclearance system. Repurposing or reproducing this content without written consent from the PAAB Commissioner is strictly prohibited. This prohibition includes, but is not limited to, use in machine learning or AI models.
  • Calculations based on PM/pivotal trial data

    PAAB Code
    3
    0 Votes
    3 Posts
    111 Views
    M
    Thank you so much for your response!
  • Product costs claims

    General Discussion
    2
    0 Votes
    2 Posts
    44 Views
    Jennifer CarrollJ
    Hey @dlew Coverage claims may be considered in HCP APS. Patient information should not contain promotional claims but formulary information may be considered. Please see our patient information guidance. HCP claims about “cost” should be factual and complete. A claim of “at zero additional cost for most patients” would be a hanging comparison and would need to clearly state versus what and be supportable across all public and private payers. Remember that formulary bodies have requested that messaging around coverage be limited to statements of coverage and not promotional messaging around “savings”. Additionally, messaging around cost should be clear about what costs (e.g. drug acquisition costs, mark-up, dispensing fee, etc.). Private coverage claims can be supported by independent third party data from an established company who assess’ market access.
  • 0 Votes
    3 Posts
    517 Views
    U
    Thank @Jennifer-Carroll , I will look into that and follow up if necessary. Hopefully a more simple question, can non-clinical characteristics of two schedule 2 products be compared in the DTC setting? E.g., Store Product X under conditions A, Store Product Y under conditions B?
  • 3 Votes
    1 Posts
    50 Views
    No one has replied
  • 0 Votes
    1 Posts
    20 Views
    No one has replied
  • RMT/RMM presentation by MSLs

    Miscellaneous
    1
    0 Votes
    1 Posts
    10 Views
    No one has replied
  • Ongoing Trials & Investigational Drugs

    PAAB Code
    2
    0 Votes
    2 Posts
    84 Views
    Jennifer CarrollJ
    Hey @ALee Please see Q&A 223 & Q&A 713. These were found by searching “ongoing”. If you select “in titles and posts” you may find additional past questions relevant to your question.
  • XX-year product claim

    General Discussion
    4
    0 Votes
    4 Posts
    201 Views
    L
    Thank you!
  • HCP-targeted ads in DTC spaces

    General Discussion
    2
    0 Votes
    2 Posts
    58 Views
    Jennifer CarrollJ
    Hey @Maryssa Any ad which appears in the consumer space (even when limited through targeting based on interests or profession), are subject to the direct-to-consumer advertising regulations. Link to therapeutic use through study design, name, description, fair balance, or any other form, would not be acceptable since it would contravene Section C.01.044 of the Food and Drugs Act and Regulations which does not permit advertising of prescription medications to the general public beyond name, price and quantity.
  • Market research as a reference

    General Discussion
    2
    0 Votes
    2 Posts
    60 Views
    Jennifer CarrollJ
    Hello @adelaidebaker Per Health Canada’s Terms and Conditions for Class B opioid products, advertising is restricted to messaging verbatim from the Health Canada approved Terms of Market Authorization. While “market research” and “claims” are broad and unclear, it is unlikely that market research can be used in advertising. If you have a specific case in mind, we invite you to submit for an opinion where additional context can be provided.
  • 0 Votes
    3 Posts
    418 Views
    Jennifer CarrollJ
    Good Morning @palanski There is not a part of the Code that states that it’s “not required”. Per the above response “. Although the PAAB code does not require a reference list to be included in patient information, we do review the list per s4.4.4 when the manufacturer intends to include the list in the piece.” Code section 6 (Patient Information) states “Company controlled or prepared branded patient information is information that contains non-promotional material that is consistent with, and in addition to, the Health Canada approved patient information (e.g. the consumer information section of the product monograph, patient insert, approved product labelling)” and “All health product information must be consistent with the Terms of Market Authorization (TMA), and should not contain promotional claims”. While other sources may support disease understanding, they do not act as sources of evidence for promotional claims which is the case in HCP advertising and therefore requires the source of evidence to be provided to the HCP for transparency. PAAB does not discourage inclusion of reference lists within patient pieces, it is simply not a requirement of the Code.
  • HCP "pro" website submission requirements

    General Discussion
    3
    0 Votes
    3 Posts
    288 Views
    L
    @Jennifer-Carroll Thank you!
  • 0 Votes
    2 Posts
    354 Views
    Jennifer CarrollJ
    Hey @cscholes Claims within advertising for biosimilars must meet the same rigors of the Code as other products. Studies from outside of the TMA must be consistent with the TMA. They must also meet PAAB Code requirements for evidence e.g. well-designed, published, peer-reviewed, statistically supported claims based on predefined endpoints, on label, etc.). If you’re not certain if a specific study meets those requirements, we encourage you to submit for an opinion review. Please be specific about how you’d like to use the study in order to receive the most comprehensive opinion.
  • RWE Usage

    Claims & Support/References for Claims
    2
    0 Votes
    2 Posts
    148 Views
    Jennifer CarrollJ
    Hi @Danielle Section 1.1.4 Endpoints/ Outcomes of the Guidance on Real-World Evidence states “Endpoints/Outcomes must be “consistent with” (though not necessarily “the same as”) those in the TMA. Regardless of whether the evidentiary basis for the presentation is RWE/RWD or an RCT, endpoints are not generally limited to those explicitly included within the TMA. Though the approach for RWE/RWD mirrors that for RCTs in this respect, the following examples are intended to clarify questions received during the consultation process.” You can review the examples in the linked document. Assessment of “consistent with” is made in the context of the combination of the endpoint, TMA and the therapeutic area. The submitter should provide authoritative support within the submission, to support that the endpoint is consistent or similar to those in the TMA and that it is a recognized endpoint within the therapeutic area.
  • RWE Data presentation

    Claims & Support/References for Claims
    2
    0 Votes
    2 Posts
    195 Views
    Jennifer CarrollJ
    Hey @mef Thank you for flagging this. We've discussed the matter with the review team to ensure alignment and are updating both internal and external guidance documents for clarity. In most cases, study design footnotes may appear outside the box.
  • 0 Votes
    2 Posts
    124 Views
    Jennifer CarrollJ
    Good Morning @dmauri This is a specific review question. Please submit the guidelines and proposed product claims. This can be done in a full submission or an opinion if you’d like further clarification prior to building out tools.
  • Pre-NOC storyboard review

    General Discussion
    2
    0 Votes
    2 Posts
    431 Views
    Jennifer CarrollJ
    Hello @Jennifer-Thomson It sounds like this would fall under a PILOT: Administrative Guideline for the Review of Pre-NOC Advertising Submissions. We’d get the file to “no further comments” pending review of the layout (video) post NOC. Please reach out to admin to discuss the specifics so that we can ensure we’re understanding the request and facilitating the best possible pathway to approval.
  • RAMQ criteria vs. notes

    PAAB Code
    2
    0 Votes
    2 Posts
    647 Views
    Jennifer CarrollJ
    Hey @ALee The same approach of “where applicable” should be applied to the RAMQ coverage as well. The intent of the inclusion is to ensure that the user is clear about the criteria for coverage as outlined by RAMQ. If the definitions and notes clarify or set the limitations/context for interpretation, they should be included.
  • 1 Votes
    1 Posts
    698 Views
    No one has replied
  • Formulary messaging clarification

    Miscellaneous
    3
    0 Votes
    3 Posts
    693 Views
    A
    Thank you!