Back in 2019, the FDA issued guidance for the requirements of promotional labeling and advertising materials for human prescription drugs. The final guidance has since come into effect as of June 24th, 2021, outlining the requirements for FDA approval of drug and medicinal advertising.
In this blog post, we’ll outline the requirements set out by the final guidance and what life science organizations need to take note of for FDA approval.
On June 24, 2019, the FDA issued final guidance for the life science industry entitled Providing Regulatory Submissions in Electronic and Non-Electronic Format--Promotional Labeling and Advertising Materials for Human Prescription Drugs.
This final guidance outlines the requirements and recommendations for various types of promotional material submissions for prescription drugs and biological products, including the specific formats needed for use in the electronic common technical document (eCTD) and non-eCTD non-electronic formats.
Since coming into effect late in June 2021, pharmaceutical, life science, and third-party companies who represent these organizations must follow the OPDP eCTD guidelines set out by the FDA to get their advertising and marketing materials approved before release. Failing to do so could result in the materials being rejected and barred from use in advertising.
Effective June 24, 2021, firms are required to electronically submit all promotional submissions that fall within the scope of section 745A(a) as specified in this guidance.
There are a few important things to note for life science organizations looking for FDA approval for their marketing and advertising. Since we cannot cover every aspect of the guidance in a single blog post, we encourage you to read the guidance itself here.
Here are a few of the essential points:
However, only Promotional 2253, Pre-submission Accelerated Launch, and Pre-Submission Accelerated Non-Launch are required to be submitted in an eCTD format at this time.
For every submission, applications must include the most current and complete Current Product Labeling (also referred to as Prescribing Information or P-I) and the promotional materials in question.
For any submission related to a Promotional 2253, a 2253 form must also be included. In the case of additional applications, the FDA Form 2253 must note the lead application and reference an attachment that lists the additional member application numbers. Be sure that you use the latest version of the form, which is named FDA-2253_04-09-2021.
Each file must be placed under the appropriate heading in the eCTD structure:
The reference link must lead to a previously submitted copy of the current product labeling at the time of dissemination.
Each promotional material must be referenced in the FDA Form 2253, if included, and have its own corresponding section in Section 1.15.2.1 in the table of contents within the US Regional File (us-regional.xml).
In addition to the above requirements, there are a few considerations that life science companies should take note of if they want to experience a smooth application process.
If a previous submission is missing any materials, you can use an Amendment Submission to submit the missing materials. You can use this option in cases where a material file is omitted, corrupted, or otherwise unreviewable by the FDA.
Each Amendment Submission should include:
As for the placement of these components:
Since its initial conception in 2019, the FDA 2253 submission has changed. Here are the most important changes to note.
Additional changes were made to the Guidance to address lifecycle management.
The new eCTD requirements for FDA approval can be overwhelming and complicated. If anything, the amount of time and concentration required to complete such a submission accurately may prove challenging for some life science organizations and require a substantial amount of time and resources to achieve.
EXTEDO offers a much simpler way to publish and submit documents for regulatory agency approval and is constantly applying the latest changes and updates to the process. Our suite of products and tools helps automate the process, ensuring your submissions are accurate and complete.
For more on the updated FDA eCTD submission guidelines, view their official statement here or the latest version of the guidance. If you would like to find out more about our solutions, visit our website for more information or contact us today.