 Agency begins its promised rewrite after a massive grassroots letter-writing campaign.
Agency begins its promised rewrite after a massive grassroots letter-writing campaign.
 
 Last  week ANH-USA, together with a number of supplement industry trade  associations, met with the US Food and Drug Administration to discuss  their promised revision of the FDA’s draft guidance for New Dietary  Ingredients (NDIs) which, in ordinary English, means dietary supplements  developed since 1994.
 As you know, the guidance was originally released in July of 2011,  and immediately faced a firestorm of criticism from consumers, natural  health advocates, the supplement industry, and Congress. FDA took what  was supposed to be a notification process for new supplements and turned  it into a de facto pre-market approval system with so many absurd  restrictions and arbitrary rules that it would have forced a large  number of products off the market, denying you access. It would also  have resulted in over $1 billion of lost industry revenue, and cost  over 100,000 Americans their jobs now—and far more jobs in the future.
 In  June, after a massive grassroots letter-writing campaign, congressional  leaders persuaded FDA to withdraw the guidance and start over—a  startling reversal from the agency’s previous intransigence on the  subject. Last Tuesday’s meeting was constructive—and significant in that  it was the first time a group representing natural health and consumer  activists had been invited to be at the table.
 One  main focus of the meeting was how the FDA would distinguish between old  dietary ingredients (ODIs) and new ones. At issue is whether the FDA  will agree with the supplement industry and the natural health community  that many of the supplements used by consumers today should be  considered ODIs and thus not subject to the new onerous regulations  (currently being re-written) that threaten access to supplements.
 This  is a concern for consumers for many reasons. To take just one example,  when a supplement is considered an NDI, drug companies, under some  circumstances, are able to develop synthetic version of natural  ingredients and then petition the FDA to remove the nutritional  supplement versions of the ingredient from the market. This is what  happened with pyridoxamine,  one of the most bioavailable and best natural forms of vitamin B6—the  supplement industry thought it was a grandfathered ODI and didn’t file  an NDI notification, but the FDA ruled that it was an NDI. Now the  natural supplement form of pyridoxamine is no longer available.
 A  second issue discussed was the creation of an official list of  grandfathered ingredients, which currently does not exist. Should such a  list be created? The concern is that FDA may determine that the list is  static and any ingredient not on the list is by default an NDI. We  don’t want the list to be used as a hammer by the FDA to go after  industry and ultimately deny consumers access to safe supplements.
 Then  there’s the “chemically altered” question. Supplements that have been  chemically altered, even if they were originally marketed before DSHEA  was passed, become NDIs. But FDA’s definition of “chemically altered” is  very broad. It may include a change in the manufacturing process—and  there have been many such changes in the past eighteen years!
 Many  of these manufacturing processes do not chemically alter a supplement,  just make it safer and better by taking advantage of new technologies.  Since the purpose of the NDI notification process is to ensure safety,  FDA shouldn’t freeze-frame the technology to 1994, but should instead  allow for improvements—all the more so since the FDA is issuing guidance  eighteen years after it was required by Congress.
 Our  meeting did not decide any of these issues. But as the consumer  representative at the meeting, we were able to represent you and express  these points strongly. With your help and that of Congress, especially  the appropriations committee that controls FDA’s purse strings, we will  finally win this battle, no matter how long it takes.
