Comment: It is recommended that, pursuant to 21 CFR 1308.45, the Administrator
of the Drug Enforcement Administration (DEA) expedite the issuance and effective
date of the Final Order placing tapentadol in Schedule II of the Controlled
Substances Act. The conditions of public health that necessitate and justify this
request are described as follows:
According to the Drug Shortage website of the Food and Drug Administration
(FDA), updated March 16, 2009, there exists a shortage of oxycodone immediate
release tablets (5 mg, 15 mg, and 30 mg). The reason for this shortage, according
to the FDA, is an “increase in demand related to product recalls by other
manufacturers.” (see: http://www.fda.gov/cder/drug/shortages/default.htm#Current)
One of the other manufacturers identified by the FDA report is KV Pharmaceutical
Company of St. Louis, MO, (KV) a leading specialty pharmaceutical company that
develops, manufactures, and markets branded, generic/non-branded, and specialty
ingredient products, including oxycodone tablets in the above-cited dosage
strengths.
On or about January 28, 2009, the FDA published a notice of Recall-Firm Press
Release reporting a nationwide voluntary recall of products by the ETHEX
Corporation, a division of KV. (See:
http://www.fda.gov/oc/po/firmrecalls/ethex01_09.html)
The following scheduled opioids are among the products recalled by the ETHEX
Corporation:
Products Recalled to WHOLESALE Level:
Hydrocodone Bitartrate & Acetaminophen Liquid (58177-909-07)
Hydrocodone Bitartrate/Guaifenesin Liquid (58177-881-07)
Meperidine/Promethazidne Capsules (58177-027-04)
Morphine InveAmp, 20mg x 1mL (58177-886-56)
Morphine InveAmp, 5mg/.25mL (58177-888-80)
Morphine Sulfate Concentrated Oral Solution 20mg/1ml (58177-886-01, 886-03
&886-05)
Morphine Sulfate Concentrated Oral Solution, 20mg/1ml (58177-886-57)
Morphine Sulfate ER Tablets, 100mg (58177-340-04)
Morphine Sulfate ER Tablets, 15mg (58177-310-04)
Morphine Sulfate ER Tablets, 200mg (58177-380-04)
Morphine Sulfate ER Tablets, 30mg (58177-320-04)
Morphine Sulfate ER Tablets, 60mg (58177-330-04)
Morphine Sulfate IR Tablets, 15mg (58177-313-04)
Morphine Sulfate IR Tablets, 30mg (58177-314-04)
Oxycodone HCl Capsules, 5mg (58177-041-04 & 041-11)
Oxycodone HCl IR Tablets, 10mg (58177-461-04)
Oxycodone HCl IR Tablets, 15mg, (58177-445-04)
Oxycodone HCl IR Tablets, 20mg (58177-462-04)
Oxycodone HCl IR Tablets, 30mg (58177-446-04)
Oxycodone HCl IR Tablets, 5mg (58177-625-04 & 625-11)
Products Recalled to RETAIL PHARMACY Level:
Hydromorphone HCl Tablets, 2mg (58177-620-04 & 620-11)
Hydromorphone HCl Tablets, 4mg (58177-621-04 & 621-11)
Hydromorphone HCl Tablets, 8mg (58177-449-04)
On March 2, 2009 KV entered into a consent decree with the FDA regarding the
company’s drug manufacturing and distribution services. According to a company
statement, “The decree provides a series of measures that, when satisfied, will
permit KV to resume the manufacture and distribution of products marketed by its
subsidiaries, ETHEX and Ther-Rx.” (See:
http://www.kvpharmaceutical.com/news_center_article.aspx?articleid=284)
Based on a description of the measures required to be taken by KV to satisfy the
consent decree, it is likely that this major source of Schedule II and III opioids will
not resume manufacturing and distribution services for a considerable amount of
time. As a result, it also is likely that the current shortage of immediate release
oxycodone tablets will continue. Moreover, although not yet declared by the FDA,
shortages in morphine and hydromorphone immediate release tablets may result
from KV’s recent recalls of its morphine and hydromorphone immediate release
products, especially in view of the already increased demand for these products
occasioned by the shortage of oxycodone.
Tapentadol is a new molecular entity with centrally-acting analgesic properties. In
its clinical assessment of tapentadol’s analgesic activity, the FDA review states
the following:
"In clinical trials, tapentadol has been demonstrated to be a very effective
analgesic at comparable levels of analgesia as other Schedule II opioids, e.g.
morphine and oxycodone. In a trial evaluating the effectiveness of tapentadol IR
(50 and 100 mg) to oxycodone IR (10 mg) in bunionectomy patients, both doses of
tapentadol were as effective as oxycodone over a 4-day evaluation period
(Stegmann and Webber 2008). The analgesic efficacy of tapentadol ER (100 or
200 mg) and oxycodone CR (20 mg) was compared in patients with moderate-to-
severe pain resulting from osteoarthritis in the knee. Both doses of tapentadol
were comparable to oxycodone in effectively providing pain relief over the 28-day
observation period (Rauschkolb-Loeffler and Okamoto 2008)." (See: p. 4 of Docket
DEA-2009-002, Schedules of Controlled Substances: Placement of Tapentadol
Into Schedule II; Tapentadol 8-factor 12192008 final draft.)
Because of the current FDA-declared shortage of oxycodone and a potential future
shortage of morphine and hydromorphone immediate release products, I believe
that conditions of public health justify this request for an expedited Final Order
with an effective date on the date of issuance. Permitting tapentadol to enter the
market as soon as possible will minimize the effect of the current shortage of
oxycodone on the patient population in need of immediate release Schedule II
analgesics. It will provide a safe and effective substitute with equivalent analgesic
properties. It also may help to prevent further disruptions in the supply of important
analgesic drug products that may occur as a result of the above-described recent
opioid product recalls.
John Coleman Comment on DEA-319
This is comment on Proposed Rule
Schedules of Controlled Substances: Placement of Tapentadol into Schedule II
View Comment
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