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PAAB Notice
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.

Packaging

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  • G Offline
    G Offline
    GMC
    wrote on last edited by
    #1

    We plan to send out a letter to pharmacists to inform them of a change in the product package (design of the blister pack). The announcement would not include any product claims. I have reviewed the Distinction document, PAAB Q&A and Forum but don't find any direction on this type of communication. The Guidance on which materials require PAAB review says "Is there discussion of drug therapy or content relating to drug therapy?" In this scenario, I think the answer is no and therefor exempt. If that's the case, for clarity, can the announcement include the product indication and still be exempt?

    Jennifer CarrollJ 1 Reply Last reply
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    • G GMC

      We plan to send out a letter to pharmacists to inform them of a change in the product package (design of the blister pack). The announcement would not include any product claims. I have reviewed the Distinction document, PAAB Q&A and Forum but don't find any direction on this type of communication. The Guidance on which materials require PAAB review says "Is there discussion of drug therapy or content relating to drug therapy?" In this scenario, I think the answer is no and therefor exempt. If that's the case, for clarity, can the announcement include the product indication and still be exempt?

      Jennifer CarrollJ Offline
      Jennifer CarrollJ Offline
      Jennifer Carroll
      wrote on last edited by
      #2

      Hey @tmcm

      The inclusion of the indication would prompt, at minimum, lowest level fair balance and would not be considered exempt.

      If exemption is the goal, we suggest submitting for an exemption opinion (see Exemption Request Policy and Procedure). This will allow the reviewer to assess the content and determine if the piece is exempt, or advise on changes to make the piece exempt. The exemption criteria require that there is no therapeutic mention or promotional marketing message about the product. It’s possible to still have promotional marketing messages even if they are not therapeutic messages (i.e. labeled blisters to help track dosage).

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