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    Backed by Dermatologists, FDA proposes new rules for Sunscreen

    Written by Dr. Kamal Kant Kohli Kohli Published On 2019-02-24T19:10:30+05:30  |  Updated On 24 Feb 2019 7:10 PM IST
    Backed by Dermatologists, FDA proposes new rules for Sunscreen

    The US Food and Drug Administration (FDA) has advanced a proposed rule that would update regulatory requirements for most sunscreen products in the United States. This significant action is aimed at bringing nonprescription, over-the-counter (OTC) sunscreens that are marketed without FDA-approved applications up to date with the latest science to better ensure consumers have access to safe and effective preventative sun care options.


    Among its provisions, the proposal addresses sunscreen active ingredient safety, dosage forms, and sun protection factor (SPF) and broad-spectrum requirements. It also proposes updates to how products are labeled to make it easier for consumers to identify key product information.


    "Broad spectrum sunscreens with SPF values of at least 15 are critical to the arsenal of tools for preventing skin cancer and protecting the skin from damage caused by the sun's rays, yet some of the essential requirements for these preventive tools haven't been updated in decades. Since the initial evaluation of these products, we know much more about the effects of the sun and about sunscreen's absorption through the skin. Sunscreen usage has changed, with more people using these products more frequently and in larger amounts. At the same time, sunscreen formulations have evolved as companies innovated. Today's action is an important step in the FDA's ongoing efforts to take into account modern science to ensure the safety and effectiveness of sunscreens," said FDA Commissioner Scott Gottlieb, M.D.


    The proposal we've put forward would improve quality, safety and efficacy of the sunscreens Americans use every day. We will continue to work with industry, consumers and public health stakeholders to ensure that we're striking the right balance. To further advance these goals, we're also working toward comprehensive OTC reform, which will help foster OTC product innovation as well as facilitate changes necessary for the FDA to keep pace with evolving science and new safety data."


    In the proposed rule, the FDA makes the following proposals for sunscreens marketed without FDA-approved applications:





    • The maximum proposed SPF value on sunscreen labels should be raised from SPF 50+ to 60+.

    • Similar to other over-the-counter drug labels, sunscreen labels should list the active ingredient on the front of the package so consumers can identify them easier. Additionally, if a product hasn't been proven to help prevent skin cancer, a notification should appear on the front.

    • Proposes that, of the 16 currently marketed active ingredients, two ingredients – zinc oxide and titanium dioxide – are GRASE for use in sunscreens; two ingredients – PABA and trolamine salicylate – are not GRASE for use in sunscreens due to safety issues. There are 12 ingredients for which there are insufficient safety data to make a positive GRASE determination at this time. To address these 12 ingredients, the FDA is asking industry and other interested parties for additional data. The FDA is working closely with industry and has published several guidancesto make sure companies understand what data the agency believes is necessary for the FDA to evaluate safety and effectiveness for sunscreen active ingredients, including the 12 ingredients for which the FDA is seeking more data.




    • Proposes that dosage forms that are GRASE for use as sunscreens include sprays, oils, lotions, creams, gels, butters, pastes, ointments and sticks. Powders are proposed to be eligible for inclusion in the monograph, but additional data are requested before powders can be included in the monograph. Wipes, towelettes, body washes, shampoos and other dosage forms are proposed to be categorized as new drugs because the FDA has not received data showing they are eligible for inclusion in the monograph.

    • Proposes to raise the maximum proposed SPF value on sunscreen labels from SPF 50+ to SPF 60+.

    • Proposes to require sunscreens with an SPF value of 15 or higher to also provide broad spectrum protection and that, for broad-spectrum products, as SPF increases, the magnitude of protection against UVA radiation also increases. These proposals are designed to ensure that these products provide consumers with the protections that they expect.

    • Proposes new sunscreen product label requirements to assist consumers in more easily identifying key information, including the addition of the active ingredients on the front of the package to bring sunscreen in line with other OTC drugs; a notification on the front label for consumers to read the skin cancer/skin aging alert for sunscreens that have not been shown to help prevent skin cancer; and revised formats for SPF, broad spectrum and water resistance statements.

    • Proposes to clarify FDA's expectations for testing and record keeping by entities that conduct sunscreen testing to ensure that the FDA can assess industry compliance with regulations.

    • Proposes that products that combine sunscreens with insect repellents are not GRASE.


    "It is important that, as this rulemaking effort moves forward and the FDA gathers additional scientific information, given the recognized public health benefits of sunscreen use, consumers continue to use sunscreen in conjunction with other sun-protection measures," said Janet Woodcock, M.D., director of the FDA's Center for Drug Evaluation and Research. "To help make sure this effort is successful, the FDA is looking to industry to gather the data needed to help ensure that products marketed to offer protection from the sun's effects are safe and deliver on these promises."


    As this rule making process proceeds, OTC sunscreen products will continue to be available on the market for consumer use. Sunscreens are only one element of a skin cancer prevention strategy. Other sun protective behaviors include: wearing protective clothing that adequately covers the arms, torso and legs; wearing sunglasses and a hat that provides adequate shade to the whole head; and seeking shade whenever possible during periods of peak sunlight.


    Skin cancer is the most common cancer in the United States, and dermatologists see the impact that this disease can have on patients’ lives every day. For this reason, the American Academy of Dermatology Association and its members are passionate about skin cancer prevention.


    Because sunscreen is an important tool in the fight against skin cancer, the AADA supports any and all regulations to ensure that the public has access to safe and effective sunscreens. We are encouraged that the U.S. Food & Drug Administration is taking this action on the Sunscreen Innovation Act, and we look forward to working with the FDA as it develops and finalizes the proposed rule.


    The AAD’s sun protection recommendations are based on the existing body of scientific evidence and current FDA regulations; these recommendations will continue to evolve as the science develops and the FDA issues new regulations. In the meantime, however, it’s important to understand that the proposed rule does not conclude that the sunscreens currently on the market are unsafe.


    As the proposed rule is finalized, we encourage the public to continue protecting themselves from the sun’s harmful ultraviolet rays. If you are concerned about the safety of the ingredients in your sunscreen, talk to a board-certified dermatologist to develop a sun protection plan that works for you.



    Related Links


    http://www.fda.gov

    BB creamboard-certified dermatologistbroad-spectrum guidelinesdermatologistsdermatologists recommendFDAHoward SobelOTCProductsproposed ruleSobel SkinSPFSPF foundationsun protectionsun spotssunscreensunscreen productstitanium dioxideU.S. Food and Drug Administration

    Disclaimer: This site is primarily intended for healthcare professionals. Any content/information on this website does not replace the advice of medical and/or health professionals and should not be construed as medical/diagnostic advice/endorsement or prescription. Use of this site is subject to our terms of use, privacy policy, advertisement policy. © 2020 Minerva Medical Treatment Pvt Ltd

    Dr. Kamal Kant Kohli Kohli
    Dr. Kamal Kant Kohli Kohli
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