There
is a great scene in the movie, The Three Amigos,
in which Chevy Chase talks about the villain, El Guapo.
"I suppose you could say that everyone has an El Guapo.
For some, shyness may be an El Guapo. For others, lack
of education may be an El Guapo. But for us, El Guapo
is a large ugly man who wants to kill us!"
Just
swap out the name El Guapo for FDA and you have the
theme of this week's newsletter. It doesn't
matter what country you live in, you have an El Guapo/FDA-type
regulatory authority promoting questionable
pharmaceutical solutions while at the same time
limiting your access to far safer alternatives.
Here in the US, our FDA is the actual FDA, a large
ugly agency that despite its best efforts sometimes
seems to be trying to kill us.
FDA isn't doing its job
A
recent article in the
Washington Post once again brings home the point
that FDA approval (heck, any government approval) does
not guarantee safety. It also makes it clear that
approved pharmaceuticals, over the counter
medication, medical devices, and even food products
are not what you think they are!
This
article highlights the findings of a 15-month-long
reactionary investigation of the FDA following the flu
vaccine shortage. In the process of their
investigation, however, investigators documented
profound and disturbing indications of much more
far-reaching and deep-seated problems.
While
the motivation for the investigation was undoubtedly
political, the results are inarguable. First, consider
the trends:
-
In the past 5 years the number of warning
letters that the Food and Drug Administration issued
to drug companies, medical device makers, etc.
dropped 54 percent to 535 in 2005 from
1,154 in 2000.
-
The seizure of mislabeled, defective and
dangerous products dipped 44 percent.
-
The
biggest decline was found at the agency's device
center, where enforcement actions decreased
65 percent in the five-year period of the
study despite a wave of problems with devices
including implantable defibrillators and pacemakers.
The
most disturbing indicator in these statistics is that
the research found no evidence that such declines
could be attributed to increased compliance with
regulations. Investigators at the FDA continued to
uncover about the same number of problems at drug and
device companies during the study as during comparable
time periods before the study. The inquiry
found instead that top officials at the FDA
increasingly overruled the investigators' enforcement
recommendations.
In
fact, the only rise in percentages was found in the
number of products that had to be recalled from the
market after approval by the FDA: up 44
percent.
Some
might argue about the ultimate meaning of these
statistics; but at the very least, they are the
proverbial canary in the coal mine giving warning of
severe problems lurking in the background. Before we
can understand what those problems are, though, we
need to understand how we got ourselves into this
predicament.
What is the FDA?
The
FDA was designed as an "intelligent, necessary
regulatory agency or 'watchdog' for Foods and Drugs."
Sounds simple, yet the size and scope of this job is a
tangible example of eyes being bigger than the
stomach.
To
give you an idea of the monumental task the FDA faces,
consider that 'Food and Drug' has been broken into 8
categories, each with a number of subcategories:
Considering such a monumental task, the health
environment has definitely benefited in some areas.
Since the FDA's inception, instances of food
poisoning, for example, have decreased dramatically.
Understand, not everything the FDA touches is bad; not
everyone who works for the FDA is a villain.
To be
fair, there are many, many good, conscientious people
working for the FDA. I've talked to a number of them.
(It's not hard. They're available to you if call up.
Most are very nice.) The problem is that the nice
people don't really control the agenda. The reality is
that in many ways, the FDA follows the same bell curve
that I talked about in
Why Your Doctors Do You Like They Do, June
21, 2004. Let me illustrate:
-
At
the bottom of the curve, particularly out in the
field, there are a handful of petty bureaucrats --
little people who sit behind very big desks --
people who get off on wielding power and
intimidating anyone who crosses their path. (Most of
us have met this type of individual at least once in
our lives.)
-
In
the middle, and comprising the biggest part of the
curve by far, are the hardworking, conscientious
people trying to do the best they can. Some are open
minded, and some religiously follow the party line
-- but all are trying to do the best they can, and
in their way protect consumers.
-
At
the executive level, there are some very bright
people, but unfortunately, too many, as you will
see, who are either negotiating their next job in
the pharmaceutical industry or who have just arrived
from there to work at the FDA. You can't have a
relationship between a multi-billion dollar industry
and the people entrusted to oversee it, and not
expect, given enough time, to see people crossing
the line.
That
said, let me restate that there is trouble afoot. So
let's take a closer look at what is going on (or going
wrong) at the FDA.
FDA Missteps
On
July 20th, the
Union of Concerned Scientists published the
results of a survey of just under 1,000 doctors who
work for the FDA. The results were disturbing:
-
Almost one in five (18 percent) responded,
"I have been asked, for non-scientific reasons, to
inappropriately exclude or alter technical
information or my conclusions in an FDA scientific
document."
-
More than three in five (61 percent) knew of cases
in which "Department of Health and Human
Services or FDA political appointees have
inappropriately injected themselves into FDA
determinations or actions."
-
Three in five (60 percent) also knew of cases "where
commercial interests have inappropriately
induced or attempted to induce the reversal,
withdrawal or modification of FDA determinations or
actions."
-
Fifty percent also felt that non-governmental
interests (such as advocacy groups) had induced or
attempted to induce such changes.
-
Less than half of them (49 percent) agreed that "FDA
leadership is as committed to product safety as it
is to bringing products to the market."
And
that's just the tip of the iceberg! To see all of the
profoundly disturbing results
check out the complete survey.
Another glaring example of conflict of interest
affecting health decisions at the FDA can be found in
the history of Aspartame, which was approved for use
in foods by Dr. Arthur Hull Hayes, the former
Commissioner of the FDA, two months before retiring.
Shortly after leaving the FDA, he accepted a position
as Senior Medical Advisor to Aspartame's public
relations firm at the rate of $1,000 per day. You can
read details in my newsletter,
The FDA and Government Regulators.
More Conflicts of
Interest
The
example of Dr. Hayes above is not isolated. Many FDA
managers have conflicts of interest from holding stock
in the pharmaceutical industries they are entrusted to
regulate to holding jobs at these same pharmaceutical
companies either before they work for the FDA or, as
with Dr. Hayes, immediately after. Yes, top FDA
officials frequently end up with top paying positions
at the very same drug companies they were entrusted to
regulate. Does this automatically mean that these
positions are improper or that "improper" decisions
were made as a result? No, of course not. But
sometimes the appearance of impropriety is so
overwhelming, it's more than enough to convict.
Consider too that the FDA admits this failure.
In
a July 25th article, the FDA issued a preemptory mea
culpa:
FDA Pledges Conflict Reforms: The
agency says it will clarify rules on advisory panel
members with ties to drug companies. But a
quick review of these proposed reforms makes it
clear that they are unlikely to stop many doctors
and researchers with such conflicts from serving on
the panels whose recommendations can determine the
fate of drugs that may be worth millions of dollars
in corporate profits -- but that may endanger
consumers at the same time.
Looking back at the Vioxx fiasco, for example, the
Center for Science in the Public Interest
evaluated the 32 scientific experts chosen by the
FDA to evaluate Vioxx and its brother Cox-2
inhibitor drugs. The
CSPI research uncovered affiliations between
10 of the scientists that served on the committee
and the three manufacturers of Cox-2 inhibitors
(Pfizer, Merck and Novartis -- including G.D.
Searle and Pharmacia, which are now part of
Pfizer). According to a New York Times analysis of
the votes, the advisory committee would have voted
against Bextra and Vioxx staying on the market had
scientists with conflicts of interest been
excluded from the vote.
The
FDA has about 50 advisory panels that are supposed
to provide impartial technical advice on issues such
as over-the-counter allergy medicines, silicone
breast implants, and chemotherapy drugs with toxic
side effects. A
study published this year found that 28%
of panel members disclosed financial conflicts, but
only 1% recused themselves.
In
case you are wondering, here are the FDA's
current guidelines for waivers.
Drug companies are
doing their own safety testing!
If
all we were talking about was conflict of interest,
that would be bad enough; but the problem goes much
deeper.
While
the world is still dealing with the aftermath of the
Vioxx scandal, let us keep in mind that this
specific (highly publicized) situation is actually
representative of a pervasive problem. Drug companies
have been given too much of a role in defining their
own approval process -- controlling everything from
the drug safety information used to
evaluate their products to lab safety
information used by the FDA.
Drug safety
The
drama surfacing at the FDA concerning drug safety
issues plays out much like a movie of the week as
accusations fly and tempers flare. Trust is given and
taken away, and the ultimate victims of this drama are
the consumers. A July 19, 2006, article in
Newstarget.com highlights that not much has
changed since the Vioxx experience as the safety of a
new antibiotic approved by the FDA was challenged by
Dr. David Graham. As Dr. Graham says, "For F.D.A. to
refer to its being reassured by postmarketing data
from Latin America and Europe as a basis for declaring
'Ketek is safe' is, in my opinion, a great abuse of
such surveillance data."
Vioxx, Keretek, or any of a
number of other pharmaceuticals, it doesn't seem to
matter. It case after case, FDA executives deem
scientific data gathered by their own researchers to
be irrelevant and biased data gathered by the
pharmaceutical companies themselves all-persuasive.
Again, has anything improper occurred? Not
necessarily. But then again, sometimes the appearance
of impropriety rises so high, it becomes its own
proof.
Lab safety
As I
mentioned above, the FDA out-sources the inspection of
pharmaceutical laboratories -- sometimes to employees
of the lab itself. An article in the New York Times
describes how even if government inspectors have found
widespread problems in a pharmaceutical factory, the
Food and Drug Administration sometimes approves new
medicines to be made in that factory without
inspecting it again, relying on company employees or
consultants to verify that the problems have been
fixed.
The
practice came to light after a trade journal called
Dickinson's FDA Webview reported that the FDA had
approved Clarinex, the allergy drug made by
Schering-Plough, based on factory inspections done by
consultants hired by the company rather than by the
government. How can you possibly have any confidence
in the certification of a lab when that certification
was bought and paid for by the company that had a
financial interest in seeing that certification go
through?
Inaccurate Labels
We
are taught as consumers to read and to trust the
labels on products. We are told to use these labels as
guides to improve our health and nutrition and, in
some cases, our safety. The very definition of the
term 'label' implies an accurate disclosure of
ingredients. But if you were to rely exclusively on
FDA approved labels you might be dangerously misled.
As explained in another New York Times article,
Medicine's Data Gap, when it comes to a drug's
"government-approved uses," FDA labeling regulations
give doctors important data from clinical tests
involving those treatments while spelling out the
drug's risks and providing directions for
administering it to patients. But FDA regulations have
allowed labels to remain silent about a test when the
FDA turns down a company's application for approval of
a new use or a new patient group. In those situations,
the company can then promote that drug for its
rejected off-label use with no
requirement for full disclosure.
And
it's no better for food labels. A recent announcement
by the FDA stated that it had checked 28,000 food
labels in a 14 month period, however, it failed to
mention that they had merely checked to see if labels
were present --
not if they were accurate.
As
CSPI senior staff attorney, Ilene Ringel Heller,
said concerning this issue, "The FDA's report
obfuscates the Agency's abdication of its
responsibility to ensure honest food labeling by
touting irrelevant statistics concerning routine
Agency inspection activities. The FDA has been less
than forthright with Congress."
Summary
I
could go on for several hundred pages citing case
after case, incident after incident, but I still want
to cover the second key issue in this newsletter: the
FDA's failure when it comes to dealing with
alternative health. For now, suffice it to quote from
Sen. Barbara Mikulski, D-MD. "This agency has been
politicized and degraded. Many FDA employees don't
feel the FDA is doing enough to protect the public's
health and are afraid to speak candidly about it."
Can
the FDA turn itself around and do a reasonable job at
regulating pharmaceutical drugs and medical devices?
Absolutely, if:
-
It
had an expanded budget.
-
It
was more limited in scope.
-
It
completely separated itself and its personnel from
the companies they regulate.
-
If
pigs could fly.
How this relates to
alternative medicine
At
the top of this newsletter I said, "It doesn't
matter what country you live in, you have an El Guapo/FDA-type
regulatory authority promoting questionable
pharmaceutical solutions while at the same time
limiting your access to far safer alternatives."
In
the time we have left, let's deal with the second half
of this statement: the part about the FDA limiting
your access to alternative health.
I
could give you all kinds of obvious bias in this area,
but probably no example is more obvious than testing,
the great sine qua non of the FDA and the
pharmaceutical industry. These tests are important
because government regulators such as the FDA make
their decisions based on these tests. It's the big
knock held against all alternative health treatments.
Pharmaceutical drugs are rigorously tested.
Alternative health programs are based on anecdotal
evidence and when tested, consistently fail
those tests. The list is endless.
But
this is a crock. As we've already seen in this
newsletter, the tests that pharmaceutical drugs pass
are hardly bullet proof, and in fact, as we've seen,
are often misleading. On the other hand, the tests
that alternative health treatments fail are almost
always fatally flawed. Check out the links above on
vitamin E and Echinacea.
Why
does this happen? Because as has been made abundantly
clear in this newsletter, the FDA and the
pharmaceutical industry work closely together:
-
Sharing personnel.
-
Taking each other's word on test results.
-
Getting paid by one entity while working for the
other.
-
Owning stock in one entity while working for the
other.
Asking the FDA to be unbiased while monitoring
alternative health is like asking the National
Football League owners to oversee the future of
professional world soccer (that's real football for
everyone outside the US). Consider that:
-
The
NFL owners don't understand soccer.
-
They don't like it.
-
At
best they view it as irrelevant. At worst as an
economic rival.
-
In
the best of all possible worlds, they would much
rather that it just go away and that everyone in the
world watched the NFL.
And
thus we have the position of the FDA and their
partners, the pharmaceutical industry, when it comes
to alternative health.
-
They don't understand it.
-
They don't like it.
-
At
best they view it as irrelevant. At worst as an
economic rival.
-
In
the best of all possible worlds, they would much
rather that it just go away, that anyone involved
would just go to jail, and that everyone in the
world would fall into line and see their doctor and
take a drug for every conceivable condition known to
man -- plus those conditions soon to be created by
the drug companies' marketing arms.
In
effect, the unofficial position of the FDA is that
"alternative health" is a contradiction in terms.
Conclusion: take
responsibility for own health
Awareness is the key. Most people spend more time
taking care of their cars than they do their bodies.
You only get one body (this lifetime anyway) and no
owner's manual, no warranty and (for the most part) no
spare parts. With all the trouble the FDA is having
regulating Food, Drugs, Medical Devices, Biologics,
Animal Feed and Drugs, Cosmetics, and Radiation
Emitting Products, it is imperative that you pay
attention to your own body and your own health. In
this newsletter I have raised several questions:
-
Is
the FDA doing its job if drug safety issues are not
tightly regulated without bias?
-
Is
the FDA doing its job if employees profit from the
same agencies they are trusted to regulate?
-
Is
the FDA doing its job if they do not follow up or
follow through when problems are found?
-
Is
the FDA doing its job if the food and drug labels
Americans are told to trust are not accurate?
-
Is
the FDA doing its job if it dismisses alternative
health solutions out of hand with support for biased
testing and harassment of practitioners?
The
answer of course is a resounding NO!
Remember, FDA approval does not guarantee safety. And
as I have said in many previous newsletters, while
pharmaceuticals have their place in health care, as a
general rule, they should always be the choice of last
resort.
Finally, and I cannot emphasize this enough, the FDA
should not play any role in regulating alternative
medicine. A separate regulating agency that at least
has a feel for the discipline needs to be in charge.
Far better for the FDA to gets its house in order,
work with a more limited scope, and start doing a good
and honest job regulating the medical industry.
And
for those of you outside the US, don't be smug.
Remember you have your own El Guapos -- in most cases
even worse than the FDA. Just look at the European
Health Initiative and Codex or how Canada treats
naturally occurring substances such as DMAE as drugs
or Australia's brand new rules requiring massive
amounts of documentation for the importation of even
the most innocuous natural health supplements. Don't
think for one moment that what happens in the US with
the FDA doesn't matter to you, or that what happens in
your country vis a vis alternative health regulation
doesn't matter to those of us in the US. It most
assuredly does. To paraphrase Ben Franklin: "We must
all stand together (regarding our health rights), or
assuredly we shall all hang separately."
Addendum
While
writing this newsletter, I was contacted by
Hummingbird Pictures about their new documentary,
Money Talks: Profits Before Patient Safety. This
documentary addresses a number of issues specifically
covered in this newsletter. What's even better,
Hummingbird has put an extremely informative 8 minute
trailer of the film online. Check it out. Note: since
it is an 8 minute clip, it does take a couple of
minutes to load, even on broadband.
|
The author, Jon Barron, is
an authority on cutting-edge nutritionals, an
international lecturer, a pioneer in the study
of nutrition and anti-aging, and author of the
book “Lessons From the Miracle Doctors.”
Mr. Barron solved the mystery behind why brewing
herbal tinctures to the phases of the moon
actually produces stronger tinctures and then
developed a process that incorporates this
“Barron Effect” into a brewing process that
produces herbal tinctures 50-100% stronger.
Copyright © 2005 Baseline of Health Foundation.
All rights reserved.
www.jonbarron.org
©
2006 by The Baseline of Health Foundation. All
rights reserved. |