96-26371. Over-the-Counter Drug Products Containing Colloidal Silver Ingredients or Silver Salts  

  • [Federal Register Volume 61, Number 200 (Tuesday, October 15, 1996)]
    [Proposed Rules]
    [Pages 53685-53688]
    From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
    [FR Doc No: 96-26371]
    
    
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    DEPARTMENT OF HEALTH AND HUMAN SERVICES
    
    Food and Drug Administration
    
    21 CFR Part 310
    
    [Docket No. 96N-0144]
    
    
    Over-the-Counter Drug Products Containing Colloidal Silver 
    Ingredients or Silver Salts
    
    AGENCY: Food and Drug Administration, HHS.
    
    ACTION: Proposed rule.
    
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    SUMMARY: The Food and Drug Administration (FDA) is proposing to 
    establish that all over-the-counter (OTC) drug products containing 
    colloidal silver ingredients or silver salts for internal or external 
    use are not generally recognized as safe and effective and are 
    misbranded. FDA is issuing this proposal because many products 
    containing colloidal silver ingredients or silver salts are being 
    marketed for numerous serious disease conditions and FDA is not aware 
    of any substantial scientific evidence that supports the use of OTC 
    colloidal silver ingredients or silver salts for these disease 
    conditions.
    
    DATES: Written comments by January 13, 1997; written comments on the 
    agency's economic impact determination by January 13, 1997. FDA is 
    proposing that any final rule that may issue based on this proposal 
    become effective 30 days after its date of publication in the Federal 
    Register.
    
    ADDRESSEES: Submit written comments to the Dockets Management Branch 
    (HFA-305), Food and Drug Administration, 12420 Parklawn Dr., rm. 1-23, 
    Rockville, MD 20857.
    
    FOR FURTHER INFORMATION CONTACT: Bradford W. Williams, Center for Drug 
    Evaluation and Research (HFD-310), Food and Drug Administration, 7520 
    Standish Pl., Rockville, MD 20855, 301-594-0063.
    
    SUPPLEMENTARY INFORMATION:
    
    I. Background
    
        Colloidal silver is a suspension of silver particles in a colloidal 
    base. Historically, a number of colloidal silver/silver colloidal salts 
    have been marketed in the United States. Some of these colloidal silver 
    products were recognized as official articles in the United States 
    Pharmacopeia (U.S.P.) and the National Formulary (N.F.). Colloidal 
    silver iodide (Ref. 1) contained not less than 18 percent and not more 
    than 22 percent silver, with the product diluted for local use to 
    concentrations from 0.05 to 10 percent. Strong silver protein (Ref. 1) 
    contained not less than 7.5 percent and not more than 8.5 percent 
    silver, with the product diluted for local use to concentrations from 
    0.5 to 10 percent. The 10th edition of the N.F. had a cautionary note 
    for these products that stated: ``Caution: Solutions of Colloidal 
    Silver Iodide should be freshly prepared and should be dispensed in 
    amber-colored bottles,'' and ``Caution: Strong Silver Protein Solutions 
    should be freshly prepared and should be dispensed in amber-colored 
    bottles.''
        Mild silver protein (Ref. 2) contained not less than 19 percent and 
    not more than 23 percent silver, with the product diluted for local use 
    to concentrations from 0.1 to 5 percent. The 12th edition of the N.F. 
    had a cautionary note, which stated: ``Caution: Solutions of Mild 
    Silver Protein should be freshly prepared or contain a suitable 
    stabilizer, and should be dispensed in amber-colored bottles.''
        Ammoniacal silver nitrate solution (Ref. 2) contained 28.5 to 30.5 
    percent silver, was made extemporaneously, and was used locally without 
    dilution. Silver nitrate solution (Ref. 3) was made extemporaneously 
    and was used locally at strengths from 0.1 to 10 percent.
        None of these formerly recognized colloidal silver preparations has 
    been official in the U.S.P. or the N.F. since 1975. Moreover, of the 
    silver salts evaluated as part of the agency's OTC drug review thus 
    far, none was found to be generally recognized as safe and effective 
    for its intended use(s). These included silver nitrate as an astringent 
    (58 FR 27636, May 10, 1993) and as a smoking deterrent (58 FR 31236, 
    June 1, 1993) and mild silver protein as an ophthalmic anti-infective 
    (57 FR 60416, December 18, 1992). Silver acetate was also evaluated as 
    a smoking deterrent and found not to be generally recognized as safe 
    and effective (58 FR 31236).
    
    II. Recent Developments
    
        In recent years, colloidal silver preparations of unknown 
    formulation have been appearing in retail outlets. These products are 
    labeled for numerous disease conditions, including human 
    immunodeficiency virus (HIV), acquired immune deficiency syndrome 
    (AIDS), cancer, tuberculosis, malaria, lupus, syphilis, scarlet fever, 
    shingles, herpes, pneumonia, typhoid, exanthematic typhus, tetanus, 
    variola, scarlatina, erysipelas, rheumatism, candida, staphylococcus 
    and streptococcus infections, tonsillitis, parasites, fungus, bubonic 
    plague, cholera, chronic fatigue, acne, warts, Meniere's disease 
    (syndrome), whooping cough, enlarged prostate, perineal eczema, 
    hemorrhoids, impetigo, ringworm, recurrent boils, burns, and 
    appendicitis.
        Several marketers of these products use a labeling brochure that 
    refers to colloidal silver as a treatment or cure for 650 diseases 
    (Ref. 4). Some colloidal silver products have been promoted using 
    reprints of articles, taken from magazines and newspapers, that make 
    claims of extensive health benefits for colloidal silver, similar to 
    the claims listed above. The articles have also been shipped with 
    colloidal silver products, when the products were ordered through the 
    mail (Ref. 5). The dosage form of these colloidal silver products is 
    usually oral, but product labeling also contains directions for topical 
    and, occasionally, intravenous use.
        In October 1994, FDA issued Health Fraud Bulletin #19 (Ref. 6) to 
    address the emerging marketing of colloidal silver products offered for 
    serious disease conditions. In that bulletin, the agency stated that it 
    was ``not aware of any substantial scientific evidence which 
    demonstrates that any OTC colloidal silver solution is useful to 
    prevent or treat any serious disease condition.'' The bulletin 
    explained that FDA has not approved a new drug application (NDA) for a 
    colloidal silver product. In addition, the bulletin stated no data or 
    information has been submitted to FDA to document an exemption from the 
    new drug provisions of the Federal Food, Drug, and Cosmetic Act (the 
    act) under the 1938 or 1962 grandfather provisions. The bulletin 
    referred to 21 CFR 314.200(e)(2), which sets forth the type of evidence 
    necessary to support an exemption under a grandfather provision.
    
    III. The ``Grandfather'' Exemption
    
        Some marketers of various colloidal silver preparations claim their 
    products are exempt from the ``new drug'' provisions of section 201(p) 
    of the act (21 U.S.C. 321(p)) under the ``grandfather'' provisions of 
    the 1938 act and the 1962 amendments to the act. The marketers 
    frequently claim that their products were marketed before 1938, that 
    only insubstantial changes have been made in product formulation and 
    labeling since that time, and that
    
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    the products' current labeling contains the same representations for 
    use as those contained in the labeling used before 1938.
        To qualify for exemption from the ``new drug'' definition under the 
    1938 ``grandfather'' clause, the drug product must have been subject to 
    the Food and Drugs Act of 1906, before June 25, 1938, and at such time 
    its labeling must have contained the same representations concerning 
    the conditions of its use (section 201(p)(1) of the act). Under the 
    1962 ``grandfather'' clause, a drug product that, preceding October 9, 
    1962, (1) Was commercially used or sold in the United States, (2) was 
    not a ``new drug'' as defined in the 1938 act, and (3) was not covered 
    by an approved NDA under the 1938 act, would not be subject to the 
    added requirement of effectiveness ``when intended solely for use, 
    under conditions prescribed, recommended, or suggested in the labeling 
    with respect to such drug.'' (Pub. L. 87-781, sec. 107(c)(4), 76 Stat. 
    788, note following 21 U.S.C. 321.)
        FDA does not believe that any of the currently marketed products 
    qualify for the exemption, because the currently marketed silver 
    products do not appear to be the same as the silver products marketed 
    in the early 1900's. Unlike the silver preparations that were once 
    compendial articles, these new colloidal silver preparations, based on 
    their labeling and/or product analysis, appear to contain less silver 
    than the products marketed historically. Many of the products FDA has 
    sampled lack an ingredient declaration. Samples of some products 
    analyzed by FDA laboratories contained as little as 0.01 percent 
    silver. Analyses showed potency varied from 15.2 percent to 124 percent 
    of the amount of silver declared on the labels. However, FDA has not 
    analyzed the majority of the products on the market and, thus, is 
    unable to state their actual silver content.
        Any person seeking to show that a drug comes within a grandfather 
    exemption must prove every essential fact necessary for invocation of 
    the exemption. (See United States v. An Article of Drug * * * ``Bentex 
    Ulcerine,'' 469 F.2d 875, 878 (5th Cir. 1972), cert. denied, 412 U.S. 
    938 (1973).) Furthermore, the grandfather clause will be strictly 
    construed against one who invokes it. (See id.; United States v. Allan 
    Drug Corp., 357 F.2d 713, 718 (10th Cir.), cert. denied, 385 U.S. 899 
    (1966).) A change in the composition or labeling of the product 
    precludes the applicability of the grandfather exemption. (See USV 
    Pharmaceutical Corp. v. Weinberger, 412 U.S. 655, 663 (1973).)
    
    IV. Evidence of Safety and Effectiveness
    
        FDA is not aware of any body of data that supports the use of 
    colloidal silver for the various conditions listed in the labeling 
    (Refs. 4 and 5) used with currently marketed products.
        The 1939 book, ``Argyria, The Pharmacology of Silver'' (Ref. 7), 
    discussed the history and pharmacophysiologic effects of silver 
    administration. It included a summary chapter on the negative effects 
    of argyria, a permanent ashen-grey discoloration of the skin, 
    conjuctiva, and internal organs, resulting from the silver salts. The 
    book also included an index that listed proprietary silver compounds 
    marketed at that time.
        Goodman and Gilman described colloidal silver use in earlier 
    editions of The Pharmacological Basis of Therapeutics (Refs. 8 and 9). 
    But in the 1980 edition (Ref. 10), Goodman and Gilman stated:
        Claims that mild silver protein penetrates tissue at the site of 
    application because chloride ion does not precipitate the silver are 
    misleading. The large-carrier protein molecule penetrates poorly. 
    Fortunately, the colloidal silver preparations are now in a deserved 
    oblivion.
        Goodman and Gilman (Ref. 10) also stated that the indiscriminate 
    use of colloidal silver solutions, especially in the prophylaxis and 
    treatment of respiratory tract infections, probably does more harm than 
    good. They mentioned that there is no acceptable evidence that the 
    routine use of silver solutions for the prophylaxis of colds is at all 
    efficacious, and cases of argyria have resulted from this practice.
        Remington's Pharmaceutical Sciences (Ref. 11) and The Dispensatory 
    of the United States of America (Ref. 12) state that long-term use of 
    silver preparations could lead to argyria. Concerns about the side 
    effects of argyria may have contributed to reduced medical usage of 
    colloidal silver products.
        The Dispensatory of the United States of America (Ref. 12) also 
    stated that there is no justification for the internal use of colloidal 
    silver either theoretically or practically.
        Recently, Fung and Bowen (Ref. 13) reviewed the basic chemistry, 
    pharmacokinetics, pharmacology, clinical toxicology, and case reports 
    of adverse events of OTC silver-containing medicinal products, 
    including colloidal silver proteins. They concluded that silver has no 
    known physiologic function and that the risk of using these products 
    exceeds any unsubstantiated benefit.
        Fung and Bowen reported that, after ingestion, up to 10 percent of 
    silver salts may be absorbed. Silver is deposited in many organs. The 
    highest concentrations are found in the skin, liver, spleen, and 
    adrenal glands, with lesser deposits in the muscle and brain. Argyria 
    is the most commonly reported adverse event and results from 
    accumulation of silver deposits in the skin below the epidermis. 
    Argyria is effectively irreversible.
        As noted in section I. of this document, a number of silver salts 
    were evaluated as part of FDA's OTC drug review, and none was found to 
    be generally recognized as safe and effective for its intended use(s). 
    Accordingly, FDA concludes at this time that no colloidal silver 
    ingredients or silver salts are generally recognized as safe and 
    effective for OTC use.
    
    V. The Agency's Proposal
    
        FDA is proposing to declare all OTC drug products containing 
    colloidal silver ingredients or silver salts as not generally 
    recognized as safe and effective, misbranded, and new drugs within the 
    meaning of section 201(p) of the act. FDA proposes to amend subpart E 
    of part 310 (21 CFR part 310) by adding new Sec. 310.548 for OTC drug 
    products containing colloidal silver ingredients or silver salts. The 
    agency invites any interested parties to collect and submit any 
    existing data and information that support the safety and effectiveness 
    of colloidal silver ingredients or silver salts for any of the uses not 
    already evaluated under the OTC drug review. Safety data should be in 
    accord with Sec. 330.10(a)(4)(i) (21 CFR 330.10(a)(4)(i)) and 
    effectiveness data in accord with Sec. 330.10(a)(4)(ii). The agency 
    will evaluate these data and determine if any colloidal silver 
    ingredients or silver salts should not be included in new Sec. 310.548.
    
    VI. References
    
        The following references have been placed on display in the Dockets 
    Management Branch (address above) and may be seen by interested persons 
    between 9 a.m. and 4 p.m., Monday through Friday.
        1. National Formulary, 10th ed., pp. 517 and 520, Rockville, MD, 
    1955.
        2. National Formulary, 12th ed., pp. 354-355, Rockville, MD, 
    1965.
        3. The Pharmacopeia of the United States, 16th ed., pp. 643-644, 
    Rockville, MD, 1960.
        4. Labeling brochure for ``Colloidal Silver.''
        5. Reprints of articles and labeling that accompanied samples of 
    colloidal silver shipped through the mail.
        6. Food and Drug Administration, Health Fraud Bulletin #19, 
    ``Colloidal Silver,'' October 7, 1994.
        7. Hill, W. B., and D. M. Pillsbury, Argyria, The Pharmacology 
    of Silver, The Williams & Wilkins Co., Baltimore, 1939.
    
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        8. The Pharmacological Basis of Therapeutics, Goodman and 
    Gilman, 4th ed., p. 1050, 1970.
        9. The Pharmacological Basis of Therapeutics, Goodman and 
    Gilman, 5th ed., pp. 930, 931, 999, and 1000, 1975.
        10. The Pharmacological Basis of Therapeutics, Goodman and 
    Gilman, 6th ed., pp. 976-977, 1980.
        11. Remington's Pharmaceutical Sciences, 16th ed., pp. 351, 727, 
    and 1111, 1980.
        12. The Dispensatory of the United States of America, 25th ed., 
    pp. 1234-1236, 1960.
        13. Fung, M. C., and D. L. Bowen, ``Silver Products for Medical 
    Indications: Risk-benefit Assessment,'' Clinical Toxicology, March 
    1996.
    
    VII. Analysis of Impacts
    
        FDA has examined the impacts of the proposed rule under Executive 
    Order 12866 and the Regulatory Flexibility Act (Pub. L. 96-354). 
    Executive Order 12866 directs agencies to assess all costs and benefits 
    of available regulatory alternatives and, when regulation is necessary, 
    to select regulatory approaches that maximize net benefits (including 
    potential economic, environmental, public health and safety, and other 
    advantages; distributive impacts; and equity). The agency believes that 
    this proposed rule is consistent with the regulatory philosophy and 
    principles identified in the Executive Order. In addition, the proposed 
    rule is not a significant regulatory action as defined by the Executive 
    Order and so is not subject to review under the Executive Order.
        Under the Regulatory Flexibility Act, if a rule has a significant 
    impact on a substantial number of small entities, an agency must 
    analyze regulatory options that would minimize any significant impact 
    of a rule on small entities. Early finalization of the regulatory 
    status of colloidal silver ingredients and silver salts will benefit 
    consumers by the early removal from the marketplace of products for 
    which safety and effectiveness have not been established. This will 
    result in a direct economic savings and public health protection to 
    consumers. In addition, other approved products may be available to 
    treat the conditions. This particular rulemaking for OTC colloidal 
    silver and silver salts drug products is not expected to pose a 
    significant impact on small business because only a limited number of 
    products, the agency estimates fewer than 30, would be covered by this 
    rulemaking. A number of silver ingredients have already been covered in 
    earlier rulemakings in the OTC drug review, and none were found safe 
    and effective for OTC human use. Under the Regulatory Flexibility Act 
    (5 U.S.C. 605(b)), the Commissioner of Food and Drugs certifies that 
    this proposed rule will not have a significant economic impact on a 
    substantial number of small entities. No further analysis is required.
        The agency invites public comment regarding any substantial or 
    significant economic impact that this rulemaking would have on OTC drug 
    products containing colloidal silver ingredients or silver salts. 
    Comments regarding the impact of this rulemaking on OTC drug products 
    containing colloidal silver ingredients or silver salts should be 
    accompanied by appropriate documentation. The agency is providing a 
    period of 90 days from the date of publication of this proposed rule 
    for comments on this subject to be developed and submitted. The agency 
    will evaluate any comments and supporting data that are received and 
    will reassess the economic impact of this rulemaking in the preamble to 
    the final rule.
    
    VIII. Environmental Impact
    
        The agency has determined under 21 CFR 25.24(c)(6) that this action 
    is of a type that does not individually or cumulatively have a 
    significant effect on the human environment. Therefore, neither an 
    environmental assessment nor an environmental impact statement is 
    required.
    
    IX. Request for Comments and Data
    
        Interested persons may, on or before January 13, 1997 submit to the 
    Dockets Management Branch (address above) written comments and data in 
    response to the proposed rule. Written comments on the agency's 
    economic impact determination may be submitted on or before January 13, 
    1997. Three copies of all comments or objections are to be submitted, 
    except that individuals may submit one copy. Comments and data should 
    be identified with the docket number found in brackets in the heading 
    of this document and may be accompanied by a supporting memorandum or 
    brief. Received comments and data may be seen in the office above 
    between 9 a.m. and 4 p.m., Monday through Friday.
    
    List of Subjects in 21 CFR Part 310
    
        Administrative practice and procedure, Drugs, Labeling, Medical 
    devices, Reporting and recordkeeping requirements.
        Therefore, under the Federal Food, Drug, and Cosmetic Act and under 
    authority delegated to the Commissioner of Food and Drugs, it is 
    proposed that 21 CFR part 310 be amended as follows:
    
    PART 310--NEW DRUGS
    
        1. The authority citation for 21 CFR part 310 continues to read as 
    follows:
    
        Authority: Secs. 201, 301, 501, 502, 503, 505, 506, 507, 512-
    516, 520, 601(a), 701, 704, 705, 721 of the Federal Food, Drug, and 
    Cosmetic Act (21 U.S.C. 321, 331, 351, 352, 353, 355, 356, 357, 
    360b-360f, 360j, 361(a), 371, 374, 375, 379e); secs. 215, 301, 
    302(a), 351, 354-360F of the Public Health Service Act (42 U.S.C. 
    216, 241, 242(a), 262, 263b-263n).
    
        2. New Sec. 310.548 is added to subpart E to read as follows:
    
    
    Sec. 310.548  Drug products containing colloidal silver ingredients or 
    silver salts offered over-the-counter (OTC) for the treatment and/or 
    prevention of disease.
    
        (a) Colloidal silver ingredients and silver salts have been 
    marketed in over-the-counter (OTC) drug products for the treatment and 
    prevention of numerous disease conditions. There are serious and 
    complicating aspects to many of the diseases these silver ingredients 
    purport to treat or prevent. Further, there is a lack of adequate data 
    to establish general recognition of the safety and effectiveness of 
    colloidal silver ingredients or silver salts for OTC use in the 
    treatment or prevention of any disease. These ingredients and salts 
    include, but are not limited to, silver proteins, mild silver protein, 
    strong silver protein, silver chloride, and silver iodide.
        (b) Any OTC drug product containing colloidal silver ingredients or 
    silver salts that is labeled, represented, or promoted for the 
    treatment and/or prevention of any disease is regarded as a new drug 
    within the meaning of section 201(p) of the Federal Food, Drug, and 
    Cosmetic Act (the act) for which an approved application or abbreviated 
    application under section 505 of the act and part 314 of this chapter 
    is required for marketing. In the absence of an approved new drug 
    application or abbreviated new drug application, such product is also 
    misbranded under section 502 of the act.
        (c) Clinical investigations designed to obtain evidence that any 
    drug product containing colloidal silver or silver salts labeled, 
    represented, or promoted for any OTC drug use is safe and effective for 
    the purpose intended must comply with the requirements and procedures 
    governing the use of investigational new drugs set forth in part 312 of 
    this chapter.
        (d) After (date 30 days after date of publication of the final rule 
    in the Federal Register), any such OTC drug product containing 
    colloidal silver or silver salts initially introduced or
    
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    initially delivered for introduction into interstate commerce that is 
    not in compliance with this section is subject to regulatory action.
    
        Dated: October 9, 1996.
    William K. Hubbard,
    Associate Commissioner for Policy Coordination.
    [FR Doc. 96-26371 Filed 10-11-96; 8:45 am]
    BILLING CODE 4160-01-F
    
    
    

Document Information

Published:
10/15/1996
Department:
Food and Drug Administration
Entry Type:
Proposed Rule
Action:
Proposed rule.
Document Number:
96-26371
Dates:
Written comments by January 13, 1997; written comments on the agency's economic impact determination by January 13, 1997. FDA is proposing that any final rule that may issue based on this proposal become effective 30 days after its date of publication in the Federal Register.
Pages:
53685-53688 (4 pages)
Docket Numbers:
Docket No. 96N-0144
PDF File:
96-26371.pdf
CFR: (1)
21 CFR 310.548