Opioid Crisis Li-Anne Rowswell Mufson Opioid Crisis Li-Anne Rowswell Mufson

Matlock’s Misguided Take on the Opioid Crisis

Written by Dr. Olivia Fletcher

The Opioid Crisis

Kathy Bates' revival of the iconic Matlock series has brought back the legal drama we all know and love. As much as we love the reboot, the portrayal of the opioid crisis is deeply flawed and misleading. In the pilot episode, Madeline “Maddy” Matlock suggests the attorneys she works with had confidential client information that would have motivated the FDA to take opioids off the market ten years earlier. This claim is both inaccurate and harmful, as it misrepresents the complexities of the opioid crisis and disregards the ethical obligations of attorneys.

The Opioid Crisis: A Complex Issue

The opioid crisis is a multifaceted public health crisis that has devastated communities around the world. This crisis is a result of a confluence of factors, including addiction, overprescribing, inadequate pain management education, and the illicit manufacturing and distribution of synthetic opioids. While opioids are a valuable tool for managing pain when used appropriately and under medical supervision, their misuse and abuse have led to widespread addiction, societal harm, and death by overdose.

Attorney-Client Privilege: A Cornerstone of the Legal System

The principle of attorney-client privilege is fundamental in our legal system. It protects confidential communications, ensuring that individuals can seek legal advice without fear of disclosure. This privilege is essential for the establishment and maintenance of trust in the legal system to facilitate open and honest communication between attorneys and their clients. Attorney-client privilege only allows the attorneys to divulge communications in the case the client intends to use advice from the attorney to commit further crimes.

As a therapist myself, confidentiality and morality don’t always play nicely together. Confidentiality is the province of ethics, not morality. What may seem Right or Wrong in the micro may not align neatly with what is necessary in the macro. Our legal system requires clients to be able to confide fully in their attorneys in order to assist in their own representation. So while a client cannot ask an attorney for advice on how to hide the body of the next person they murder, they absolutely can tell the attorney they plan to murder someone else and the attorney’s hands are tied. This is the strictest confidentiality in our legal system. No other communication is given such broad protections by our courts. Therapists, physicians, clergy, and even spouses have more exceptions.

The Role of the FDA in Opioid Regulation

The Food and Drug Administration (FDA) plays a crucial role in regulating the safety and efficacy of prescription drugs, including opioids. The FDA approves drugs for use based on rigorous scientific evidence and requires manufacturers to submit post-market surveillance data to monitor the safety of approved products. If the FDA becomes aware of serious safety concerns, it may take action to restrict or withdraw the approval of a drug. As explained in the book, Empire of Pain by Patrick Radden Keefe, the Food and Drug Agents involved in monitoring Purdue Pharma, the company responsible for initially bringing oxycontin to the market, were deeply entwined with the company.

The REMS Program: A Critical Tool for Opioid Risk Management

The Risk Evaluation and Mitigation Strategy (REMS) program is a regulatory tool used by the FDA to manage risks associated with certain drugs. REMS programs can include requirements for prescribers, pharmacies, and patients, such as education and training, monitoring, and restrictions on distribution. Opioids are subject to REMS programs that aim to reduce the risk of abuse and diversion.

The Opioid Analgesic Risk Evaluation and Mitigation Strategy (REMS) is a program implemented by the FDA to address the risks associated with opioid analgesics. It requires certain actions from healthcare providers and patients to ensure the safe use of these medications.

The requirements of these programs include:

For Prescribers:

  • Education: All healthcare providers involved in the management of patients with pain, including prescribers, nurses, and pharmacists, must complete accredited continuing education (CE) courses on the safe use of opioids. These courses must be based on the FDA's Opioid Analgesic REMS Education Blueprint.

  • Patient assessment: Healthcare providers must assess a patient's risk factors for opioid misuse, addiction, and overdose before prescribing opioids. This assessment should include a thorough medical history, physical examination, and consideration of the patient's social and psychological factors.

  • Treatment plan: If opioids are prescribed, healthcare providers must develop a comprehensive treatment plan that includes:

    •      Clear goals for pain management

    •      A risk assessment and mitigation strategy

    •      A plan for monitoring the patient's response to treatment

    •      A plan for tapering or discontinuing opioids as appropriate

  • Documentation: Healthcare providers must document their assessment, treatment plan, and monitoring of the patient's response to treatment in the patient's medical record.

For patients:

  • Education: Patients who are prescribed opioids must receive information about the risks and benefits of these medications, as well as instructions on how to use them safely.

  • Agreement: Patients must sign a written agreement that outlines their understanding of the risks and benefits of opioids and their commitment to follow the prescribed treatment plan.

  • Monitoring: Patients must be monitored regularly for signs of opioid misuse, addiction, and overdose. This may include regular follow-up appointments, urine drug testing, and other assessments as appropriate.

Manufacturer requirements:

  • Manufacturer reporting: Opioid manufacturers must report any adverse events associated with their products to the FDA.

  • Public education: Opioid manufacturers must also conduct public education campaigns to raise awareness about the risks of opioid abuse and addiction.

Risk vs Benefit

All medications come with risk and side effects. Even the most thorough clinical trials may not make all of these clear in the limited time and population available. One of the key points the FDA focuses on is whether the benefits of the medication outweigh the risks. Midrin, a migraine abortant, was widely prescribed for decades before studies indicated that the Schedule IV substance, dichloralphenazone, which was one of three substances in midrin, was too prone to abuse. That combined with the concerns over liver damage from overuse of acetaminophen led the FDA to remove it from the market. Opioids do provide significant pain relief to patients for whom they are prescribed. It is important not to throw the baby out with the bath water. As we continue to advance pharmaceutical science, we may, hopefully, find a way to relieve pain without the dangers associated with narcotics. Knowing everything we know about the dangers of opioids, they are still considered worth the risk.

Conclusion

While Matlock is an entertaining show, the portrayal of the opioid crisis is deeply flawed and highly misleading. The show's suggestion that attorneys could have prevented the crisis by divulging confidential client information is inaccurate and disregards the ethical obligations of attorneys. The opioid crisis is a complex issue that requires a multifaceted approach, including improved pain management education, increased access to treatment, and stricter regulations on the prescription and distribution of opioids. We have enough misinformation circulating without adding to the detritus, perhaps some accountability is due here.

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Why Your Biotech, Pharmaceutical or Medical Device Organization Needs an Independent Consultant

Written by Li-Anne Rowswell Mufson

Metis Consultants

In today's complex regulatory landscape, biotech, pharmaceutical, and medical device organizations face numerous challenges in bringing products to market while ensuring compliance with evolving standards. Navigating the regulatory complexities and laboratory hurdles often hindering the development journey is daunting. This is where independent consultants, such as Metis Consulting Services, play a crucial role in unlocking the full potential of your products and achieving regulatory success. Consultants offer fresh eyes that pick up on potential pain points that the team may not see on the inside. 


R&D Laboratory 

Metis Consulting Services offers comprehensive R&D laboratory support, including but not limited to small molecule development, biologics development services, and cross-functional expertise. With their specialized knowledge and experience, they provide valuable insights and guidance to streamline your development processes and overcome technical challenges.  For more, Listen to Queens of Quality Podcast  “A Journey through the Pharmaceutical Regulation and Quality Design S2:E7



Audits/Inspection Readiness 

Preparing for audits and inspections is critical to maintaining regulatory compliance. Independent consultants assist your organization in conducting thorough audits, ensuring inspection readiness, and implementing corrective actions to address any identified issues, ultimately helping to maintain good standing with regulatory authorities.Ffor more listen to Queens of Quality Podcast A Comprehensive Guide to Audits and Compliance in Pharmaceuticals | S2:E2



Clinical Data Management 

Effective clinical data management is essential for demonstrating the safety and efficacy of pharmaceutical and medical device products. Independent consultants offer expertise in clinical data management and ensure that your data is collected, processed, and analyzed in compliance with regulatory requirements. For more listen to Queens of Quality Podcast Unlocking Ethical AI in Life Sciences: Insights with Steve Thompson and Emily Barker PT3

| S2:BONUS 3



Corporate Training 

Continuous training and development are vital for keeping your team updated with the latest regulatory standards and industry best practices. Independent consultants provide tailored corporate training programs to enhance your staff's regulatory knowledge and skills, ultimately contributing to improved compliance and operational efficiency. For more listen to: Queens of Quality Podcast   A Comprehensive Guide to Audits and Compliance in Pharmaceuticals| S2:E2



Regulatory Strategy Advising 

Navigating the complex regulatory landscape requires a strategic approach. Independent consultants advise regulatory strategy, helping your organization develop and execute robust regulatory strategies that align with your business objectives and ensure timely product approvals.For more listen to  Queens of Quality Podcast” A Comprehensive Guide to Audits and Compliance in Pharmaceuticals” S2:E2



Pharmacovigilance

Ensuring the safety of pharmaceutical products throughout their lifecycle is a vital concern. Independent consultants support your organization in establishing and maintaining effective pharmacovigilance systems, including adverse event reporting, risk management, and regulatory compliance.

Listen to the Queens of Quality Podcast S1 E5 “Pharmacovigilance”

Quality Management Services

Maintaining high-quality standards across all aspects of your operations is essential for regulatory compliance and product integrity. Independent consultants offer quality management services, including quality system assessments, process improvements, and compliance monitoring, to help you achieve and sustain a culture of quality within your organization. Listen to the Queens of Quality Podcast S2 E8, “Embracing Evolution and Growth in Quality.”



REMS/RMPs

Risk Evaluation and Mitigation Strategies (REMS) and Risk Management Plans (RMPs) are mandatory programs for post-market activities for designated products. REMS and RMPs (in the 2EU) are designed to manage known or potential risks associated with certain products. Independent consultants with expertise in REMS/RMPs guide these strategies' development, implementation, and evaluation to ensure the safe and effective use of pharmaceutical products. Listen to the Queens of Quality Podcast S2 E6, “Revolutionizing the REMS Industry with Sherice Mills.”


            

Consulting

The expertise and support independent consultants provide can significantly benefit pharmaceutical and medical device organizations, particularly in navigating regulatory challenges, enhancing operational capabilities, and ensuring compliance with the highest standards.  Pharmaceutical consulting provides a bridge between laboratory research and patient care. An alliance of scientific rigor and strategic acumen turns therapeutic concepts into accessible treatments. What are the benefits of using pharmaceutical consultants? They guide your organization's journey from bench to bedside in the biotech, pharmaceutical, and medical device industry. Pharmaceutical consultants don the hat of strategists, advisors, and analysts to steer drug developers through the complex maze of bringing a new drug to market. They are the catalysts for innovation, ensuring that groundbreaking treatments see the light of day and reach the right patients at the right time. If your organization is striving for regulatory success and seeking to maximize the potential of its products, engaging an independent consultant such as Metis Consulting Services is an excellent strategic decision with far-reaching benefits, ultimately leading to the primary goal for all involved: enhanced patient outcomes. FDA Guidance on REMS from May 2024 here


Metis Consulting Services offers a complete and customizable suite of services, including but not limited to 

1. Audits/ Inspection Readiness-

2. Clinical Data Management-

3. Corporate Training- 

4. REMS-RMP

5. Regulatory Strategy Advising-

6. Pharmacovigilance-

7. Quality Management Services-

8. R&D Laboratory Services-

9. Ethical AI

With our support, biotech, pharmaceutical, and device manufacturers can confidently navigate the complex landscape of regulatory requirements and industry best practices, ensuring their products' safety, efficacy, and quality.


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RIC, REMS, and the REMarkable Dr. Frances Oldham Kelsey

SQA and RIC Conference and Annual Meeting

Written by Li-Anne Rowsell Mufson

METIS' CEO and Founder Michelleanne is finishing up with the SQA Conference and is headed to the REMSIndustry Consortium (RIC) to Convene on March 22nd and 23rd. 

The promised second half of our blog on REMS and The history of Thalidomide is below. I wound up becoming even more fascinated with Dr. Frances Oldham Kelsey and her heroism, and it is particularly appropriate to celebrate her during Women's History Month. If you want to hear more about REMS, listen to Ep. 6 Of the "Queens of Quality Podcast."

 if you'd like to know more about how our consultants can help your company with REMS programs, drop us a line at Hello@metisconsultingservices.com

Frances Kelsey: A Woman Who Made a REMarkable Difference in the World of Medicine

Who is Dr. Frances Oldham Kelsey?

Frances Oldham Kelsey was a Canadian-born physician who fought big pharma companies and a tremendous amount of pressure to do her job. In the process, she saved lives and heartbreak for thousands of Americans. She was born in 1914 and received her bachelor of science and master of science degrees from McGill University, Montreal, in 1934 and 1935. In 1938 she earned her Ph.D. from the University of Chicago and married and had two children while teaching and earning her medical degree there. She began her career at the Food and Drug Administration (FDA) in 1960 at the age of 46. At the FDA, Kelsey worked in the Division of New Drugs and was responsible for reviewing and approving new drugs for the American market. During her time at the FDA, Kelsey became a vocal advocate for rigorous testing and regulation of new drugs. She also believed in ensuring the safety and efficacy of new medicines before they were approved for sale.

What did Frances Kelsey do that was so remarkable?

In 1961, during her first month at the FDA, Kelsey began her very first significant project, reviewing a new drug called Thalidomide. It was a sedative being marketed as a safe and effective treatment for morning sickness in pregnant women, among other sedative uses. As other countries began approving the drug for sale, Kelsey was skeptical about its safety. Dr. Kelsey knew that drugs could cross the placental barrier and harm an unborn baby. So she asked for evidence of trials on pregnant animals and requested that the company submit more data about its safety and efficacy, but they were reluctant to do so. These were never provided. 

In fact, that company resubmitted the NDA several times without ever providing the information she sought. Dr. Kelsey's insistence on more testing and regulation saved thousands of lives. When other countries began approving the drug for sale, thousands of babies were born with congenital disabilities. However, the drug was never approved for sale in the United States due to Kelsey's diligence and attention to detail.  Despite all her efforts, and even though the drug was not approved in the United States, as many as 20,000 Americans were given Thalidomide in the 1950s and 1960s. These individuals were part of two clinical trials operated by the American drug makers Richardson-Merrell and Smith, Kline & French. The Sales manuals even assured doctors that the new drug had been "shown to be absolutely harmless" in pregnant women and children. 

And if not for Dr. Kelsey, that number would have grown exponentially. 

She was eventually awarded the President's Award for Distinguished Federal Civilian Service by John F. Kennedy for her efforts to ensure the safety of drugs prescribed to pregnant women.

How did Kelsey's work impact the regulatory landscape?

Kelsey's story has been told in films, books, and documentaries. She is a powerful symbol of achievement through dedication, hard work, and determination. Her story highlights the importance of rigorous testing and regulation in the world of medicine. The FDA strengthened and improved its regulations due to Kelsey's work. The 1962 Kefauver-Harris Amendment required more data to be collected about the safety and efficacy of new drugs before they were approved for sale. The amendment also allowed the FDA to issue sanctions against pharmaceutical companies that did not comply with the regulations.

 Kelsey's work also had a global impact. Organizations like the World Health Organization (WHO) and the International Conference on Harmonization of Technical Requirements for the Registration of Pharmaceuticals for Human Use were formed to coordinate and facilitate the regulation and testing of drugs among different countries. And the FDA would never have created the REMS program.

What’s REMS again? 

As we have mentioned, REMS (Risk Evaluation and Mitigation Strategy) is a drug safety program that the U.S. Food and Drug Administration (FDA) has implemented for medications to help ensure the benefits of the medication outweigh the risks. The key participants in the Risk Evaluation and Mitigation Strategy (REMS)are patients, healthcare providers, pharmacists, and healthcare settings that dispense or administer the drug. There are four pieces to REMS:

  1. Risk piece-there are serious risks identified

  2. Evaluation- through trials, analysis, etc.

  3. Mitigation piece- what can be done to reduce that risk 

  4. Strategy piece - how that mitigation is done

When was REMS started?

Risk Evaluation and Mitigation Strategies (REMS) are programs instituted by the FDA to monitor medications with a high potential for serious adverse effects. REMS applies only to specific prescription drugs but can apply to brand-name or generic drugs. The REMS program was formalized in 2007. REMS programs are designed to reinforce medication use behaviors and actions that support the safe use of that medication. While all medications have labeling that informs healthcare stakeholders about medication risks, only certain medications require a REMS. REMS are not designed to mitigate all the adverse events of a medication; Rather, REMS focus on preventing, monitoring, and/or managing specific serious risks by informing, educating, and reinforcing actions to reduce the frequency and/or severity of the event. 

According to the FDA's website, there are three major components to the strategy for each REMS.

  1. Communication to Patients-REMS may require the drug manufacturer to develop materials for patients like medication guides(these would be in addition to the medication guides all drugs must include.) These handouts contain FDA-approved information in patient-friendly language that can help inform patients about the safest way to use the medication.

  2. Communication to Health Care Providers, Pharmacists, and Health Care Settings-

The REMS may include communicating directly to health care providers, pharmacists, nurses, or other participants involved in the delivery of these medications. In some cases, the communications may also target medical professional societies or state licensing boards to inform them of the REMS' particular safety concerns and/or to support conveying this information to their members.  They may provide information about a specific risk and steps to take to reduce it.  

3. Required Activities or Clinical Intervention-Sometimes these activities are referred to as "elements to assure safe use (ETASU)."

Sometimes, participants are required to conduct activities that support the safe use of the medication. These activities must be undertaken before the drug can be prescribed, dispensed, or received.   

The storied history of Thalidomide was one of the critical elements in the regulations that eventually led to the institution of the REMS programs. 

Dr. Frances Kelsey's story can be an inspiration to us all. She was a woman who rose to prominence during a time when women were not taken seriously in the world of medicine. Despite this, she was determined to ensure that the drugs on the market were safe and effective. Kelsey's story highlights the importance of Quality assurance and regulatory oversight in the pharmaceutical and medical device world. Dr. Kelsey's story is also a reminder that change is possible. By questioning the status quo and challenging the accepted standard, she brought about positive change in how drugs are regulated and tested. 

Her story should remind us all of the importance of insisting on evidence, putting patient health first, doing the work, and, of course, standing up for what is right. 

Cited research

The Story of Thalidomide in the U.S., Told Through Documents. https://www.nytimes.com/2020/03/23/health/thalidomide-fda-documents.html

What's in a REMS? | FDA. https://www.fda.gov/drugs/risk-evaluation-and-mitigation-strategies-rems/whats-rems

Risk Evaluation and Mitigation Strategies | REMS | FDA. https://www.fda.gov/drugs/drug-safety-and-availability/risk-evaluation-and-mitigation-strategies-rems

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What is this Alphabet Soup?

RIC and REMS Alphabet Soup

What is this alphabet soup?

Written by Li-Anne Rowswell Mufson

REMS- RISK EVALUATION AND MITIGATION STRATEGY. 

RIC- REMS Industry Consortium

Although it is reasonably well understood conceptually, the REMS program is relatively new - it started in 2007- and is still in the process of being operationally understood. The reality of multiple Sponsor and Vendor organizations sharing a REMS program can lead to breakdowns in Communication, Collaboration, and Consensus among the different organizations and even the departments within those organizations. With help from Metis' Consultants and with the tools provided by RIC, organizations can work to identify potential issues before they start and prevent communication siloing along departmental and organizational lines; by fostering collaboration and consensus with shared REMS sponsors and vendors. 

Evaluation within the REMS program is used to mitigate risks, and the strategy for the Mitigation piece is presented to the FDA. The FDA evaluates for both tactics and strategies. 

Because of all the complexities and even some unnecessary complications, staying current and having specialists in this manner is essential. That is the reason the  RIC was started. 

The REMS Industry Consortium provides education and learning tools to help and standardize the successful execution of an REMS program. Metis is a very enthusiastic supporter of the Consortium as it kicks off. 

What is RIC?

The REMS Industry Consortium, Inc. (RIC) is a nonprofit organization made up of industry experts. According to the RIC website, it " brings together the perspectives of organizations that sell—or anticipate selling—prescription drugs or biologics subject to Risk Evaluation and Mitigation Strategies (REMS).”

The RIC seeks to:

  • Foster and encourage two-way communication between manufacturers/REMS sponsors and FDA

  • Discuss and clarify challenges faced by industry sponsors and the FDA

  • identify best practices for REMS throughout the development, review, and management lifecycle

  • Provide the FDA with a "sounding board" to solicit feedback on REMS

  • collectively explore vendor participation and capabilities in REMS."

The emphasis is mine. In these areas, in particular, having knowledgeable and experienced consultants from Metis will be invaluable to pharmaceutical manufacturers subject to REMS.

What is REMS?

The U.S. Food and Drug Administration (FDA) introduced the Risk Evaluation and Mitigation Strategies (REMS) program in 2007 to ensure that the benefits of particular drugs outweigh their risks. REMS is a comprehensive strategy pharmaceutical manufacturers must develop and implement to manage known or potential serious risks associated with a specific drug while ensuring continued patient access to the medication.

One key aspect of REMS is the Risk Identification and Analysis (RIA) process, which involves identifying potential risks associated with a drug and analyzing the likelihood and severity of those risks. Based on the RIA, pharmaceutical manufacturers develop a REMS program that includes various strategies to manage and mitigate the identified risks.

REMS programs typically include a combination of elements such as medication guides, communication plans, training and certification programs for healthcare providers, patient registries, and restricted distribution programs. These elements aim to ensure that healthcare providers and patients have access to the information they need to make informed decisions about the pharmaceutical's use and minimize the risks associated with its use.

Pharmaceutical manufacturers must submit a proposed REMS program to the FDA for review and approval before marketing the drug. The FDA reviews the proposed REMS program to ensure that it includes appropriate risk management strategies and is feasible to implement.

Once the REMS program is approved, pharmaceutical manufacturers must implement and maintain the program as authorized. The FDA monitors the implementation and effectiveness of REMS programs through various means such as inspections, audits, and assessments.

Pharmaceutical manufacturers must understand and comply with REMS requirements to ensure that their drugs are safe and effective for patient use. Failure to comply with REMS requirements can result in enforcement action by the FDA, including fines, product seizures, and injunctions.

In summary, REMS is a critical program that pharmaceutical manufacturers must comply with to ensure the safe use of their drugs. REMS requires manufacturers to identify and mitigate potential risks associated with their drugs and implement various risk management strategies to minimize those risks. Pharmaceutical manufacturers should work closely with the FDA throughout the REMS process to ensure that their REMS programs meet regulatory requirements and effectively protect patient safety. 

Coming up

In our next blog post, we will discuss the history of thalidomide, the heroic work of Frances Kelsey, and how that eventually led to the institution of REMS.

Metis' CEO, Michelleanne Bradley, has been involved with REMS programs since they began in 2007. For more information about RIC and REMS, listen to Episode 6 of the "Queens of Quality" Podcast. You can also drop us a line at Hello@metisconsultingservices.com or check us out on LinkedIn.

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