80_FR_79738 80 FR 79493 - General and Plastic Surgery Devices: Restricted Sale, Distribution, and Use of Sunlamp Products

80 FR 79493 - General and Plastic Surgery Devices: Restricted Sale, Distribution, and Use of Sunlamp Products

DEPARTMENT OF HEALTH AND HUMAN SERVICES
Food and Drug Administration

Federal Register Volume 80, Issue 245 (December 22, 2015)

Page Range79493-79505
FR Document2015-32024

The Food and Drug Administration (FDA or the Agency) is proposing to establish device restrictions for sunlamp products, which would restrict their use to individuals age 18 and older, require prospective users to sign a risk acknowledgement certification before use, and require the provision of user manuals.

Federal Register, Volume 80 Issue 245 (Tuesday, December 22, 2015)
[Federal Register Volume 80, Number 245 (Tuesday, December 22, 2015)]
[Proposed Rules]
[Pages 79493-79505]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-32024]


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DEPARTMENT OF HEALTH AND HUMAN SERVICES

Food and Drug Administration

21 CFR Part 878

[Docket No. FDA-2015-N-1765]
RIN 0910-AH14


General and Plastic Surgery Devices: Restricted Sale, 
Distribution, and Use of Sunlamp Products

AGENCY: Food and Drug Administration, HHS.

ACTION: Proposed rule.

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SUMMARY: The Food and Drug Administration (FDA or the Agency) is 
proposing to establish device restrictions for sunlamp products, which 
would restrict their use to individuals age 18 and older, require 
prospective users to sign a risk acknowledgement certification before 
use, and require the provision of user manuals.

[[Page 79494]]


DATES: Submit either electronic or written comments on the proposed 
rule by March 21, 2016. Submit comments on information collection 
issues under the Paperwork Reduction Act of 1995 by February 22, 2016. 
See Section VIII for the proposed effective date of a final rule based 
on this proposed rule.

ADDRESSES: FDA is explicitly seeking comment on the risks to health 
that should be included in the risk acknowledgement certification. You 
may submit comments as follows:

Electronic Submissions

    Submit electronic comments in the following way:
     Federal eRulemaking Portal: http://www.regulations.gov. 
Follow the instructions for submitting comments. Comments submitted 
electronically, including attachments, to http://www.regulations.gov 
will be posted to the docket unchanged. Because your comment will be 
made public, you are solely responsible for ensuring that your comment 
does not include any confidential information that you or a third party 
may not wish to be posted, such as medical information, your or anyone 
else's Social Security number, or confidential business information, 
such as a manufacturing process. Please note that if you include your 
name, contact information, or other information that identifies you in 
the body of your comments, that information will be posted on http://www.regulations.gov.
     If you want to submit a comment with confidential 
information that you do not wish to be made available to the public, 
submit the comment as a written/paper submission and in the manner 
detailed (see ``Written/Paper Submissions'' and ``Instructions'').

Written/Paper Submissions

    Submit written/paper submissions as follows:
     Mail/Hand delivery/Courier (for written/paper 
submissions): Division of Dockets Management (HFA-305), Food and Drug 
Administration, 5630 Fishers Lane, Rm. 1061, Rockville, MD 20852.
     For written/paper comments submitted to the Division of 
Dockets Management, FDA will post your comment, as well as any 
attachments, except for information submitted, marked and identified, 
as confidential, if submitted as detailed in ``Instructions.''
    Instructions: All submissions received must include the Docket No. 
FDA-2015-N-1765 for ``General and Plastic Surgery Devices: Restricted 
Sale, Distribution, and Use of Sunlamp Products.'' Received comments 
will be placed in the docket and, except for those submitted as 
``Confidential Submissions,'' publicly viewable at http://www.regulations.gov or at the Division of Dockets Management between 9 
a.m. and 4 p.m., Monday through Friday.
     Confidential Submissions--To submit a comment with 
confidential information that you do not wish to be made publicly 
available, submit your comments only as a written/paper submission. You 
should submit two copies total. One copy will include the information 
you claim to be confidential with a heading or cover note that states 
``THIS DOCUMENT CONTAINS CONFIDENTIAL INFORMATION''. The Agency will 
review this copy, including the claimed confidential information, in 
its consideration of comments. The second copy, which will have the 
claimed confidential information redacted/blacked out, will be 
available for public viewing and posted on http://www.regulations.gov. 
Submit both copies to the Division of Dockets Management. If you do not 
wish your name and contact information to be made publicly available, 
you can provide this information on the cover sheet and not in the body 
of your comments and you must identify this information as 
``confidential.'' Any information marked as ``confidential'' will not 
be disclosed except in accordance with 21 CFR 10.20 and other 
applicable disclosure law. For more information about FDA's posting of 
comments to public dockets, see 80 FR 56469, September 18, 2015, or 
access the information at: http://www.fda.gov/regulatoryinformation/dockets/default.htm.
    Docket: For access to the docket to read background documents or 
the electronic and written/paper comments received, go to http://www.regulations.gov and insert the docket number, found in brackets in 
the heading of this document, into the ``Search'' box and follow the 
prompts and/or go to the Division of Dockets Management, 5630 Fishers 
Lane, Rm. 1061, Rockville, MD 20852.
    Submit comments on information collection issues to the Office of 
Management and Budget in the following ways:
     Fax to the Office of Information and Regulatory Affairs, 
OMB, Attn: FDA Desk Officer, FAX: 202-395-7285, or email to 
[email protected]. All comments should be identified with the 
title ``Restricted Sale, Distribution, and Use of Sunlamp Products.''

FOR FURTHER INFORMATION CONTACT: Neil R.P. Ogden, Center for Devices 
and Radiological Health, Food and Drug Administration, 10903 New 
Hampshire Ave., Bldg. 66, Rm. 1438, Silver Spring, MD 20993-0002, 301-
796-6397.

SUPPLEMENTARY INFORMATION:

I. Background and Legal Authority

    Sunlamp products are both ``devices'' under section 201(h) of the 
Federal Food, Drug, and Cosmetic Act (the FD&C Act) (21 U.S.C. 321(h)), 
and ``electronic products'' under section 531(2) of the FD&C Act (21 
U.S.C. 360hh(2)). They are designed to incorporate one or more 
ultraviolet (UV) lamps intended for irradiation of any part of the 
living human body, by UV radiation with wavelengths in air between 200 
and 400 nanometers, to induce skin tanning (see Sec. Sec.  878.4635(a) 
and 1040.20(b)(9) (21 CFR 878.4635(a) and 1040.20(b)(9))). Sunlamp 
products include tanning beds and tanning booths. Sunlamp products, as 
defined in proposed Sec.  878.4635, do not include--and this proposed 
rulemaking does not address--ultraviolet lamps for dermatological 
disorders regulated under 21 CFR 878.4630.\1\
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    \1\ UV emitting lamps that are medical devices and have 
different intended uses than devices classified under 21 CFR 
878.4635 (intended to tan skin) would not fall under that 
regulation. Manufacturers of such devices would have to obtain 
approval, clearance or authorization to market their device under 
the premarket approval, 510(k) or de novo pathway. The use of such 
devices in a pediatric population is beyond the scope of this 
document.
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    The FD&C Act establishes a comprehensive system for the regulation 
of medical devices intended for human use. Section 513 of the FD&C Act 
(21 U.S.C. 360c) defines three categories (classes) of devices, 
reflecting the regulatory controls needed to provide reasonable 
assurance of their safety and effectiveness. The three categories of 
devices are class I (general controls), class II (special controls), 
and class III (premarket approval).
    FDA regulates electronic products under chapter 5, subchapter C, of 
the FD&C Act (21 U.S.C. 360hh et seq.). Under these provisions, FDA 
administers an electronic product radiation control program to protect 
the public health and safety. This authority provides for developing, 
amending, and administering radiation safety performance standards for 
electronic products, including sunlamp products.
    FDA is undertaking three initiatives to address the risks 
associated with sunlamp products. First, in a final reclassification 
order that issued June 2, 2014 (79 FR 31205 at 31213), FDA reclassified 
sunlamp products and UV lamps intended for use in sunlamp products from 
class I to class II, and established special controls and

[[Page 79495]]

premarket notification (510(k)) requirements under the medical device 
authorities of the FD&C Act. The special controls include performance 
testing and labeling requirements, including a warning that sunlamp 
products are not to be used on persons under the age of 18 years.
    Second, and simultaneously with this proposed rule, FDA is 
proposing amendments to the sunlamp products and UV lamps performance 
standard at Sec.  1040.20, which includes technical and labeling 
requirements issued under the radiological health provisions of the 
FD&C Act. As explained elsewhere in this issue of the Federal Register, 
FDA is taking this action to reflect current scientific knowledge 
related to sunlamp product use, harmonize it more closely with 
International Electrotechnical Commission (IEC) International Standard 
60335-2-27, Ed. 5.0: 2009-12, and strengthen the warning statement 
required by Sec.  1040.20(d)(1)(i) in accordance with the results of 
the study FDA conducted under section 230 of the Food and Drug 
Administration Amendments Act of 2007 (Pub. L. 110-85).
    Finally, in this action, FDA is proposing device restrictions under 
section 520(e) of the FD&C Act (21 U.S.C. 360j(e)), which authorizes 
FDA to issue regulations imposing restrictions on the sale, 
distribution, or use of a device, if, because of its potentiality for 
harmful effects or the collateral measures necessary to its use, FDA 
determines that absent such restrictions, there cannot be a reasonable 
assurance of its safety and effectiveness. The proposed device 
restrictions would require that:
    1. Tanning facility operators permit use of sunlamp products only 
if the prospective user is age 18 or older;
    2. Tanning facility operators, upon request by the user or 
prospective user, provide a copy of the sunlamp product user manual or 
name and address of the manufacture or distributor from whom a user 
manual may be obtained;
    3. 510(k) holders assure that a user manual accompanies each 
sunlamp product and, upon request, provide a copy of the user manual to 
any tanning facility operator, user or prospective user; and
    4. Tanning facility operators obtain each prospective user's 
signature on a risk acknowledgement certification.
    These device restrictions would primarily apply to tanning facility 
operators, and to a lesser extent, device manufacturers and 
distributors. FDA considers a tanning facility operator to be any 
person offering for sale the use of sunlamp products. FDA would not 
consider people who use their own tanning beds (home users) to be 
tanning facility operators.
    Certain provisions of the FD&C Act relate specifically to FDA's 
authority over restricted devices. For example, sections 502(q) and (r) 
of the FD&C Act (21 U.S.C. 352(q) and (r)) provide that a restricted 
device distributed or offered for sale in any state shall be deemed to 
be misbranded if its advertising is false or misleading or fails to 
include certain information regarding the device, or it is sold, 
distributed, or used in violation of regulations prescribed under 
section 520(e), and section 704(a) of the FD&C Act (21 U.S.C. 374(a)) 
authorizes FDA to inspect certain records relating to restricted 
devices.
    If this proposed rule becomes final, it may be enforced by means of 
seizure of the sunlamp product, under section 304 of the FD&C Act (21 
U.S.C. 334); a suit for injunction, under section 302 of the FD&C Act 
(21 U.S.C. 332); imposition of civil money penalties, under section 303 
of the FD&C Act (21 U.S.C. 333); or criminal prosecution, under section 
303 of the FD&C Act. FDA expects to cooperate with counterpart agencies 
at the state level in enforcing the proposed requirements, if they 
become final. Consumer complaints to FDA and State Agencies would be 
important in identifying entities that violate the conditions for sale 
or use of these devices.

II. Risks Posed by the Device

    The General and Plastic Surgery Devices Panel of the Medical 
Devices Advisory Committee (2010 Advisory Panel) met on March 25, 2010, 
to review and discuss recent information regarding the risks to the 
general public from exposure to sunlamp products, and identified the 
following risks to health for sunlamp products.\2\ These risks are well 
documented and discussed in published literature.
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    \2\ See http://www.fda.gov/AdvisoryCommittees/CommitteesMeetingMaterials/MedicalDevices/MedicalDevicesAdvisoryCommittee/GeneralandPlasticSurgeryDevicesPanel/ucm205684.htm.
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A. Increased Skin Cancer Risk From Cumulative, Repeated UV Radiation 
Exposure

    UV radiation exposure can lead to permanent damage to DNA in the 
skin, which has been shown to lead to an increased risk of skin cancer 
(Refs. 1-3). Skin cancers that have been associated with cumulative 
repeated UV radiation exposure include melanoma and non-melanoma skin 
cancers (NMSC) such as basal cell carcinoma and squamous cell carcinoma 
(Ref. 4). One study suggests that doses of UV-A radiation emitted by 
high power sunlamp products may be up to 10 to 15 times higher than 
that of the midday sun, resulting in an intense amount of exposure that 
does not exist in nature (Ref. 5). Users with a personal history of 
melanoma have an increased risk of skin cancer, as do users with 
familial melanoma--having one first-degree relative with melanoma 
doubles one's risk of developing melanoma (Refs. 6, 7). There is also 
evidence suggesting that individuals who begin indoor tanning at ages 
younger than 18 years are particularly vulnerable to the carcinogenic 
impact of indoor tanning (see section III.A for further discussion).

B. Ocular Injury

    UV and visible radiation from sunlamp products can be harmful to 
the eyes if proper protective eyewear is not worn. The UV radiation 
from sunlamp products can cause keratitis and corneal burns, which can 
be painful and affect vision (Ref. 8). The intense visible light from 
some sunlamp products can damage the retina and permanently affect 
vision (Ref. 8). Artificial UV radiation has also been linked to ocular 
melanoma, which can cause vision loss and often spreads to other parts 
of the body (Ref. 9).

C. Discomfort, Pain, and Tenderness on the Skin Resulting From Burns to 
the Skin Due to Acute Overexposure to UV Radiation

    A recent study showed that, despite protective properties touted by 
commercial tanning facilities such as claims that indoor tanning limits 
exposure time and intensity, 66 percent of female college-age users 
reported skin erythema (or redness due to sunburn) from indoor tanning, 
and these users reported one episode of sunburn out of every five 
tanning sessions (Ref. 10). Those findings are in line with a previous 
report that found that 58 percent of sunlamp product users ages 11 
years to 18 years had experienced sunburns from exposure to sunlamp 
products (Ref. 11).
    In certain individuals who are photosensitive, skin exposure to UV 
radiation may induce unexpected reactions such as rash, severe burns, 
and hypersensitivity (Ref. 12). Various drugs may cause a 
photosensitivity reaction in the skin. Some drugs may cause a 
phototoxic reaction when they absorb UV-A radiation and cause cellular 
damage. These drugs include anti-infective drugs such as tetracyclines 
and fluoroquinolones, cardiovascular drugs like hydrochlorothiazide and 
amiodarone, psychiatric drugs such as phenothiazines, and retinoids 
such as isotretinoin (Ref. 13). Some dietary

[[Page 79496]]

supplements may also cause photosensitivity (Ref. 13).
    Sunlamp products, like most light sources, generate heat that can 
cause thermal skin burns, similar to any hot surface. Individuals with 
open wounds or lesions are particularly susceptible to burns from UV 
radiation because these individuals lack the protective epidermal layer 
of the skin that provides the body's greatest protection from UV 
irradiation (Ref. 14).

D. Skin Damage

    Cumulative, repeated exposure to UV radiation emitted by sunlamp 
products may lead to accelerated aging of skin due in part to DNA and 
skin cell damage (Ref. 15). UV irradiation inhibits the production of 
collagen precursor molecules such as type I and type III procollagen 
(Ref. 16). UV irradiation stimulates skin metalloproteinases, which 
break down skin proteins that then lead to photoaging (Ref. 17). On a 
cellular level, UV radiation has been known to cause DNA damage (Ref. 
1).

III. Proposed Device Restrictions

    FDA is proposing the following restrictions which, because of the 
potential for harmful effects from the device, are necessary for a 
reasonable assurance of safety and effectiveness of sunlamp products:

A. Use Would Be Restricted to Individuals Age 18 and Older

    Although the risks associated with sunlamp products are applicable 
to all persons, FDA is proposing to restrict the use of this device to 
persons age 18 and older because children and adolescents who are 
exposed to UV radiation may be at higher risk of developing certain 
types of skin cancer than persons who begin exposure later in life as 
adults (Ref. 18). In the final reclassification order for this device, 
FDA established special controls labeling regarding minors' use of 
sunlamp products and UV lamps intended for use in sunlamp products (see 
Sec.  878.4635(b)(6)). Based on the increased risk of developing skin 
cancer and minors' difficulty in appreciating the risks posed by the 
devices (see Refs. 19 to 24), FDA has determined that use of sunlamp 
products by minors is not appropriate and is therefore establishing a 
proposed restriction in this rulemaking action to complement the 
special controls labeling.
    Published medical evidence demonstrates that there is a direct 
correlation between sunlamp product use among youths and their 
developing melanoma skin cancer, as well as other skin cancers (Refs. 
25, 26). Melanoma is a leading cause of cancer death in women ages 15 
years to 29 years and there is some evidence that suggests use of 
sunlamp products is an underlying cause (Refs. 27, 28).
    There is increasing epidemiological evidence that shows that 
tanning at ages younger than 18 years increases the risk of developing 
melanoma (Refs. 25, 29 to 32). Melanoma (of the types of skin cancer, 
this is the more concerning type due to greater potential for fatality) 
is currently the second leading type of cancer in persons age 20 years 
to 39 years, and many experts believe that at least one cause for this 
is the increasing use of sunlamp products (Refs. 30, 33). A 2009 
International Agency for Research in Cancer (IARC) report linked UV 
exposure (including from indoor tanning devices) by individuals under 
age 35 to higher rates of melanoma as compared to a similar cohort of 
individuals who had not used sunlamp products, and recommended that 
minors not use sunlamp products. Similarly, a meta-analysis by 
Gallagher et al. that evaluated metrics of sunlamp product exposure, 
including in young adults, indicated a significantly increased risk of 
cutaneous melanoma subsequent to sunlamp product exposure (Ref. 34). In 
particular, the analysis showed a positive association between first 
exposure as a young adult and subsequent melanoma. Further, a case 
control study in Connecticut found a relative risk of 1.4 for melanoma 
diagnosis when individuals are exposed to sunlamp products before the 
age of 25 (Ref. 35).
    In addition, there is increasing epidemiological evidence that 
shows that tanning at ages younger than 18 years increases the risk of 
developing NMSC. For example, recent studies found a significantly 
higher risk for basal cell carcinoma for individuals who used sunlamp 
products during high school and college as compared to those who used 
sunlamp products between the ages of 25 and 35 (Refs. 36, 37).
    Individuals under 18 who are exposed to UV radiation are at an 
increased risk of developing skin cancer because (1) there is evidence 
suggesting that they are particularly vulnerable to the damaging 
effects of UV radiation and (2) the cumulative effects of exposure have 
been linked to higher incidence of skin cancer. First, evidence 
suggests that minors exposed to UV radiation are particularly 
vulnerable to developing skin cancer (Ref. 38). In particular, 
migration studies compare people who moved from less UV-intense 
environments to more UV-intense environments at a young age, for 
example, children who moved from the United Kingdom to Australia. A 
number of biological factors, such as skin development and formation of 
nevi at a young age, are identified as potentially causing the increase 
in the risk of developing melanoma from exposure to UV radiation, like 
that from sunlamps (Refs. 18, 39). Second, as with other radiation 
exposure, increased cumulative lifetime UV exposure results in 
increased skin cancer risk (Ref. 40).
    The age restriction also is necessary because individuals under 18 
often fail to appropriately evaluate the significant health risks 
associated with indoor tanning. For example, a study has shown that 
college age students often use sunlamp products despite awareness of 
the long-term risks (Refs. 41 to 43). Rather, persons under age 18 
years appear to be discounting whatever risk information they are 
receiving or may have difficulty incorporating the information into 
their decisionmaking. For example, a recent study links indoor tanning 
by high school students to other risk-taking behaviors, including 
binge-drinking, unhealthy weight control, sexual intercourse, and 
illegal drug or steroid use (Ref. 20). This linkage suggests that, like 
other risk-taking behaviors, adolescents use sunlamp products for self-
esteem or sensation seeking reasons, irrespective of known health risks 
(Ref. 20). Similarly, another recent study showed that psychosocial and 
demographic characteristics strongly correlated with adolescent indoor 
tanning (Ref. 22). By restricting sunlamp product use to individuals 18 
and older, we would be protecting a subpopulation that generally tends 
to discount risk information and favor risk taking.
    Based on the scientific evidence available at the time, some 
members of the 2010 Advisory Panel recommended an age restriction to 
preclude use by persons under 18 years of age to reduce the unintended 
health effects of these devices (Ref. 44). The scientific literature 
published since that meeting, as described in this document, offers 
further support for an age restriction (Refs. 20, 22, 41).
    Various professional organizations also support an age restriction 
on sunlamp product use. The World Health Organization (WHO) has 
classified UV radiation from sunlamp products as a class I carcinogen 
based on the 2009 IARC report that linked sunlamp product use by 
individuals under age 35 to higher rates of melanoma and strongly urged 
consideration of restricting minors from using sunlamp products (Ref. 
45). Accordingly, the WHO recommends that persons under

[[Page 79497]]

age 18 not use sunlamp products (Ref. 46).
    The American Academy of Dermatology (AAD) recognizes WHO's 
declaration that sunlamp products are cancer-causing agents and are in 
the same risk category as tobacco, and supports the position that 
minors should not use sunlamp products (Ref. 47). In 2011, the American 
Academy of Pediatrics published a policy statement similar to that of 
the AAD calling for a restriction on sunlamp product use by minors 
(Refs. 48, 49).
    Experts in pediatrics, public health, and dermatology also support 
a legislative age restriction on sunlamp product use. For example, 
recent studies cited other peer reviewed articles to examine the 
effects of legislation on indoor tanning use (Refs. 22, 50, 51). They 
concluded that an age restriction or ban would be far more effective at 
reducing youth indoor tanning than other potential actions such as 
parental consent (Refs. 22, 50, 51).
    This scientific evidence also has led many State and foreign 
governments to institute age restrictions in the last few years on the 
use of sunlamp products by minors (Ref. 50). To date, more than 40 
states have age restrictions on sunlamp product use (Ref. 52). These 
restrictions have age limits ranging from ages 14 to 18. At least 11 
countries have restricted the use of sunlamp products to adults age 18 
and older, including Great Britain and France (Refs. 52 to 54).
    Restricting use of these devices to individuals 18 and over should 
reduce future morbidity and mortality from melanoma and other skin 
cancers and would help to protect the public health, according to both 
expert advisory opinion and findings from current scientific, medical, 
and public health policy literature (Ref. 54). In the journal Health 
Policy in 2009, Hirst et al. estimated that preventing minors from 
indoor tanning has the potential to reduce the incidence of skin 
cancers and related medical costs (Ref. 54).
    This restriction is particularly important because, as previously 
discussed, it has been shown that increased knowledge of the risks of 
UV exposure among adolescents and young adults does not appreciably 
alter their tanning behavior and attitudes (Refs. 19, 41, 42, 55). The 
use of sunlamp products has been suggested to have both a psychological 
reinforcing effect in minors due to feedback from others on minors' 
cosmetic appearance or self-perceptions that leads to continued or 
increased use, in addition to the physical reinforcing effect that has 
been linked to high rates of use (Refs. 19, 56).
    This age restriction is also important because parental awareness 
of the risks, educational campaigns, and parental consent to the risks, 
on their own, have been shown to be insufficient in reducing indoor 
tanning in young age groups (Refs. 21, 22, 41).
    The risks associated with use of sunlamp products by individuals 
under 18 are particularly concerning given the widespread use of these 
devices among high school students. The Centers for Disease Control and 
Prevention has documented high rates of use in U.S. high school 
students from its 2011 Behavioral Risk Survey: 13 percent of all high 
school students report indoor tanning, and 29 percent of white female 
high school students report usage in the last year (Ref. 53). There are 
a number of collaborative studies that have demonstrated that young 
women, in particular, use sunlamp products at increasingly high rates 
(Refs. 22 to 24, 57). For example, one study found that indoor tanning 
usage (defined as tanning during the previous 12 months) progressively 
increased in adolescents (age 14-17) from 5.5 percent at age 14 to 16.5 
percent at age 17, which suggests that adolescents use indoor tanning 
more often as they get older (Ref. 22). Another study analyzed the 
results of a survey of over 10,000 U.S. individuals age 12 years to 18 
years and found nearly 10 percent of respondents used a sunlamp product 
during the previous year and rates increased to 35 percent for females 
by age 17, highlighting that teenage girls are more likely than their 
male counterparts to use indoor tanning facilities (Ref. 24).
    FDA seeks comments on its proposal to restrict use of these devices 
to individuals 18 years of age and over as well as data and information 
in support of any comments. In addition, although FDA has strong 
reservations about a parent-consent process in this setting, we 
recognize parents' decision-making role. We welcome comment on parental 
consent and its potential scope, including comments on experiences in 
jurisdictions that have a parental consent provision for use of sunlamp 
products.

B. Sunlamp Product User Manuals Would Have To Be Provided to Users, 
Prospective Users, and Tanning Facility Operators Upon Request

    User manuals provide valuable information to operators and users. 
Sunlamp product user manuals can include vital information such as 
instructions for use, exposure schedules, maintenance guidance, and 
device warnings. In order to help ensure the dissemination of this 
important information to sunlamp product users, FDA is proposing that 
tanning facility operators be required to provide a copy of the user 
manual or the name and address of the manufacturer or distributor that 
can provide a copy of the user manual to any user or prospective user 
that requests one. Similarly, FDA is also proposing that 510(k) holders 
be required to provide user manuals to any tanning facility operator, 
user, or prospective user that requests one. The electronic product 
performance standard currently requires manufacturers to provide 
manuals to purchasers and, upon request, to others for the life of the 
sunlamp product (see Sec.  1040.20(e)). FDA believes that access to the 
information contained in the user manual would help prospective users 
make informed decisions when considering whether to use the device and 
would also inform tanning facility operators and users on how to use 
the device properly.

C. Prospective Users Would Have To Sign a Risk Acknowledgement 
Certification Before Sunlamp Product Use

    FDA is proposing that tanning facility operators would have to 
provide, and sunlamp product prospective users 18 and older would have 
to sign, the certification set forth in proposed Sec.  878.4635(c)(4) 
prior to use of any sunlamp product, unless the prospective user has 
previously signed the risk acknowledgement certification within the 
preceding 6 months. The certification provides warnings regarding 
sunlamp products as well as information regarding the proper use of the 
devices. By making this information available to users in a direct and 
accessible manner, the certification would better enable consumers to 
make informed decisions about their use of sunlamp products. Moreover, 
and as discussed more fully in this section III.C, the information 
could counteract any false or misleading information that sunlamp 
product users may have received regarding the risks of indoor tanning.
    Compliance with this proposed requirement would not be unduly 
burdensome for tanning facilities. The certification has already been 
drafted by FDA and, as discussed in the economic analysis in Docket 
FDA-2015-N-1765 and at http://www.fda.gov/AboutFDA/ReportsManualsForms/Reports/EconomicAnalyses/default.htm (Ref. 58), tanning facility 
operators would need only a brief amount of time to explain to the user 
the purpose of the certification and to process or file the signed 
certification. Reading and

[[Page 79498]]

signing the certification would not be overly burdensome for 
prospective users--the user would need only a brief amount of time to 
read and sign the form, if they choose to proceed (Ref. 58).
    FDA proposes that the text of the risk acknowledgement 
certification would have to be at least 10-point font and that the 
tanning facility operator would have to provide a copy of the signed 
acknowledgement certification to the prospective user and retain a copy 
of the signed acknowledgement certification for 1 year or until the 
prospective user signs a new risk acknowledgement certification, 
whichever is sooner. The statements in the certification are intended 
to inform prospective users of the risks they may be exposing 
themselves to by using the device and the inherent risks posed by UV 
radiation, as well as provide information regarding the proper use of 
the device.
    When developing the certification, FDA aimed to inform readers of 
the most serious risks in a clear and succinct manner in order to 
promote rapid comprehension and not take more time than necessary for 
the key information to be conveyed and understood. Readability 
analysis, human participants' usability testing, and human factors/risk 
communication analysis were conducted on the certification to ensure 
the certification achieved its intended goals clearly and succinctly 
(Refs. 58 and 59). After obtaining feedback from the testing, the 
certification was revised consistent with recommendations made in the 
testing and is presented in this proposed rule with its refined content 
and format. FDA welcomes comment on the proposed certification form.
    Unlike a label that must be affixed to a device (see Sec.  
878.4635(b)(6)(i)(A)), a risk acknowledgement certification can include 
more comprehensive warnings to ensure that users are aware of the risks 
associated with the use of the devices (Refs. 50 and 59). FDA expects 
that users will consider the risks carefully when signing the 
certification. If users were provided the certification but not 
required to sign it, they would be less likely to read the risk 
information in the certification, and they may even opt not to read the 
certification, mistakenly thinking that it was promotional material 
provided by the tanning facility.
    Members of the 2010 Advisory Panel recommended that sunlamp product 
users be required to read and sign an acknowledgement of risks related 
to sunlamp products before using the device. Since this meeting, FDA 
has become aware of additional information regarding the use of sunlamp 
products that further supports the need for risk acknowledgement 
certifications.
    There are reports in the literature that document tanning facility 
operators failing to inform patrons of certain risks, causing various 
groups to call for ``informed consent'' or better informing users at 
indoor tanning facilities (Ref. 60).
    In keeping with the literature, on February 1, 2012, staff of the 
U.S. House of Representatives Committee on Energy and Commerce released 
a report summarizing their findings regarding false and misleading 
information provided to patrons of indoor tanning salons, especially 
teenage women. They found, for example, that 90 percent of operators 
responded that indoor tanning presented no risks (Ref. 61). When 
pressed about skin cancer specifically, more than half of the operators 
claimed indoor tanning would not increase the risk (Ref. 61). Some 
operators who did inform their patrons of skin cancer risks 
nevertheless mischaracterized the magnitude and the vulnerable 
subpopulations (Ref. 60). Other operators provided misleading benefit 
information, including claims that indoor tanning would protect patrons 
from cancer or beneficially create vitamin D (Ref. 61).
    These reported practices support the need for risk acknowledgement 
certifications, which could counteract any false or misleading 
information communicated to prospective users. This risk acknowledgment 
will provide prospective users with accurate information about the 
risks and proper use of the devices so that they can make informed 
decisions about their use of these devices.

IV. Environmental Impact

    The Agency has determined that under 21 CFR 25.34(f) this proposed 
action will not result in increases in the existing levels of use or 
changes in the intended uses of the product or its substitutes. 
Therefore, neither an environmental assessment nor an environmental 
impact statement is required.

V. Analysis of Economic Impacts

    FDA has examined the impacts of the proposed rule under Executive 
Order 12866, Executive Order 13563, the Regulatory Flexibility Act (5 
U.S.C. 601-612), and the Unfunded Mandates Reform Act of 1995 (Pub. L. 
104-4). Executive Orders 12866 and 13563 direct 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). OMB has determined that this proposed rule is a significant 
regulatory action as defined by Executive Order 12866.
    The Regulatory Flexibility Act requires Agencies to analyze 
regulatory options that would minimize any significant impact of a rule 
on small entities. We believe this proposed rule would result in a 
significant impact on a substantial number of small entities, but the 
impacts are uncertain.
    Section 202(a) of the Unfunded Mandates Reform Act of 1995 requires 
that Agencies prepare a written statement, which includes an assessment 
of anticipated costs and benefits, before proposing ``any rule that 
includes any Federal mandate that may result in the expenditure by 
State, local, and tribal governments, in the aggregate, or by the 
private sector, of $100,000,000 or more (adjusted annually for 
inflation) in any one year.'' The current threshold after adjustment 
for inflation is $144 million, using the most current (2014) Implicit 
Price Deflator for the Gross Domestic Product. FDA does not expect this 
proposed rule to result in any 1-year expenditure that would meet or 
exceed this amount.
    The proposed rule would restrict the use of sunlamp products to 
individuals aged 18 years and over and require all prospective users to 
read and sign a risk acknowledgement certification before use (unless 
the prospective user has previously signed the form within the 
preceding 6 months). The social benefits from this proposed rule stem 
from a potential reduction in the incidence of skin cancer. The social 
costs of the proposed rule are associated with the value of time spent 
by users and tanning facility operators on the risk acknowledgement 
certifications and verifying proof of age, as well as other compliance 
costs. As discussed more fully in the complete assessment, analyzing 
the impact of the proposed rule is difficult because of the uncertainty 
of how users would be affected by reading and signing the risk 
acknowledgment certification and how nonuse when under 18 years of age 
would affect later adult use. Because of this uncertainty, we use a 1 
to 10 percent range in the response rate to the risk information and 
age restriction, assuming that the age restriction reduces future 
tanning. Under these scenarios, assuming a discount rate of 7 percent 
the annualized cost over 10 years would range from $104 million to $114 
million; annualized benefits would

[[Page 79499]]

range from $70 to $115 million. With a 3 percent discount rate the 
annualized cost over 10 years would range from $122 million to $144 
million; annualized benefits would range from $151 to $248 million.
    In addition to the social costs, the proposed rule would likely 
generate distribution effects from the reduced demand for tanning 
services. The annualized reduction in indoor tanning revenues would 
range from about $500 million to $820 million at a 7 percent discount 
rate over 10 years and from about $500 million to $825 million at a 3 
percent discount rate.

                                                   Table 1--Summary of the Impact of the Proposed Rule
                                                                      [$ millions]
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                            7% Discount     7% Discount     7% Discount     3% Discount     3% Discount     3% Discount
                                                             rate, 5%        rate, 1%        rate, 10%       rate, 5%        rate, 1%        rate, 10%
                                                              impact          impact          impact          impact          impact          impact
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                               Present Value over 10 Years
--------------------------------------------------------------------------------------------------------------------------------------------------------
Benefits................................................           632.9           491.7           806.8         1,657.3         1,284.4         2,115.7
Costs...................................................           763.4           732.2           801.7         1,126.4         1,043.3         1,228.6
Net Benefits............................................          -130.5          -240.5             5.1           530.9           241.1           887.1
Lost Revenue............................................         4,532.9         3,527.2         5,770.4          5222.4          4287.4          7040.7
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                             Annualized Value over 10 Years
--------------------------------------------------------------------------------------------------------------------------------------------------------
Benefits................................................            90.1            70.0           114.9           194.3           150.6           248.0
Costs...................................................           107.2           104.2           114.1           132.1           122.3           144.0
Net Benefits............................................           -18.6           -34.2             0.7            62.2            28.3           104.0
Revenue Loss............................................           645.4           502.2           821.6           647.4           502.6           825.4
--------------------------------------------------------------------------------------------------------------------------------------------------------
Note: The impacts are tied to the acknowledgement certification and changing habits, which we interpret as the effect of age restrictions in disrupting
  the development of a habit for indoor tanning.

    Tanning salons and most of the other establishments who offer 
commercial tanning services are classified as Other Personal Care 
Services under the North American Industry Classification System (NAICS 
812199). We do not have information on the size distribution of this 
industry but most, if not all, entities are small businesses. There are 
18,000 to 19,000 indoor tanning salons and 15,000 to 20,000 other 
facilities that offer indoor tanning services. The proposed rule would 
have a significant impact on a substantial number of small entities 
chiefly due to the loss of revenue.
    The full assessment of the economic analysis is available in Docket 
FDA-2015-N-1765 and at http://www.fda.gov/AboutFDA/ReportsManualsForms/Reports/EconomicAnalyses/default.htm (Ref. 62). Table 2 summarizes the 
analysis.

                                   Table 2--Summary of Benefits, Costs and Distributional Effects of the Proposed Rule
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                                                               Units
                                                                                         ------------------------------------------------
                Category                      Primary      Low estimate    High estimate                                      Period           Notes
                                             estimate                                      Year dollars    Discount rate      covered
                                                                                                                (%)           (years)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Benefits:
    Annualized Monetized $millions/year.          $90.10          $70.00         $114.90            2014               7              10
                                                  194.30          150.60          248.00            2014               3              10
    Annualized Quantified...............  ..............  ..............  ..............            2014               7              10
                                          ..............  ..............  ..............            2014               3              10
    Qualitative.........................  ..............  ..............  ..............  ..............  ..............  ..............
Costs:
    Annualized..........................          107.20          104.20          114.10            2014               7              10
    Monetized $millions/year............          132.10          122.30          144.00            2014               3              10
    Annualized..........................  ..............  ..............  ..............            2014               7              10
    Quantified..........................  ..............  ..............  ..............            2014               3              10
    Qualitative.........................  ..............  ..............  ..............  ..............  ..............  ..............
Transfers:
    Federal Annualized..................  ..............  ..............  ..............            2014               7              20
    Monetized $millions/year............  ..............  ..............  ..............            2014               3              20
                                         ---------------------------------------------------------------------------------------------------------------
                                          From:
                                          To:
--------------------------------------------------------------------------------------------------------------------------------------------------------
    Other Annualized....................           645.4           502.2           821.6            2014               7              10
    Monetized $millions/year............           647.4           502.6           825.4            2014               3              10
                                         ---------------------------------------------------------------------------------------------------------------
                                          From: Industry
                                          To: Consumer
--------------------------------------------------------------------------------------------------------------------------------------------------------
Effects.................................                  This will have a significant impact on a substantial number of small entities.
--------------------------------------------------------------------------------------------------------------------------------------------------------


[[Page 79500]]

VI. Federalism

    FDA has analyzed this proposed rule in accordance with the 
principles set forth in Executive Order 13132. Section 4(a) of the 
Executive order requires Agencies to ``construe * * * a Federal statute 
to preempt State law only where the statute contains an express 
preemption provision or there is some other clear evidence that the 
Congress intended preemption of State law, or where the exercise of 
State authority conflicts with the exercise of Federal authority under 
the Federal statute.'' Federal law includes an express preemption 
provision that preempts certain State requirements ``different from or 
in addition to'' certain Federal requirements applicable to devices (21 
U.S.C. 360k; See Medtronic, Inc. v. Lohr, 518 U.S. 470 (1996); Riegel 
v. Medtronic, Inc., 552 U.S. 312 (2008)). This proposed rule creates a 
requirement under 21 U.S.C. 360k.
    At the time of publication of this proposed rule, most States and 
some localities have acted to impose some form or restriction on 
tanning for minors.\3\ Section 521(b) of the FD&C Act (21 U.S.C. 
360k(b)) provides that the Commissioner of Food and Drugs may, upon 
application of a State or local government, exempt a requirement from 
preemption, if the State or local requirement for the device is more 
stringent than the requirement under the FD&C Act, or if the 
requirement is necessitated by compelling local conditions and 
compliance with it would not cause the device to be in violation of a 
requirement under the FD&C Act. Following this process, and if this 
rule becomes final, a State or local government may request an 
exemption from preemption for those State or local requirements 
pertaining to sunlamp products that are preempted by the Agency's final 
rule. FDA's rules that detail the content of such requests and the 
process for considering them are contained within 21 CFR part 808.
---------------------------------------------------------------------------

    \3\ National Conference of State Legislators, Indoor Tanning 
Restrictions for Minors--A State-by-State Comparison, http://www.ncsl.org/research/health/indoor-tanning-restrictions.aspx (last 
updated July 1, 2015).
---------------------------------------------------------------------------

VII. Paperwork Reduction Act of 1995

    This proposed rule contains information collection provisions that 
are subject to review by the Office of Management and Budget (OMB) 
under the Paperwork Reduction Act of 1995 (44 U.S.C. 3501-3520). The 
title, description, and respondent description of the information 
collection provisions are shown in this section VII with an estimate of 
the annual recordkeeping. Included in the estimate is the time for 
maintaining documentation and disclosing materials.
    FDA invites comments on these topics: (1) Whether the proposed 
collection of information is necessary for the proper performance of 
FDA's functions, including whether the information will have practical 
utility; (2) the accuracy of FDA's estimate of the burden of the 
proposed collection of information, including the validity of the 
methodology and assumptions used; (3) ways to enhance the quality, 
utility, and clarity of the information to be collected; and (4) ways 
to minimize the burden of the collection of information on respondents, 
including through the use of automated collection techniques, when 
appropriate, and other forms of information technology.
    Title: Restricted sale, distribution, and use of sunlamp products.
    Description: FDA is requesting OMB approval of the requirements set 
forth in this proposed rule, which would: (1) Restrict the use of 
sunlamp products to individuals age 18 years and over (Sec.  
878.4635(c)(1)); (2) require that tanning facility operators provide a 
user manual to users and prospective users that request one, or the 
name and address of the manufacturer or distributor from who a user 
manual may be obtained (21 CFR 878.4635(c)(2)); (3) require that 
sunlamp product 510(k) holders accompany each product with a user 
manual and provide a user manual to users and tanning facility 
operators that request one (Sec.  878.4635(c)(3)); and (4) require all 
prospective users to read and sign a risk acknowledgement certification 
before use (unless the prospective user has previously signed the 
certification within the preceding 6 months) (Sec.  878.4635(c)(4)).
    Description of Respondents: The requirements apply to manufacturers 
and distributors of sunlamp products, sunlamp product users and 
prospective users, as well as tanning facility operators.
    Burden: FDA estimates the burden of this collection of information 
to be as follows:

                                                   Table 3--Estimated Annual Recordkeeping Burden \1\
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                      Number of
             Activity/21 CFR section                 Number of       records per      Total annual    Average  burden per recordkeeping    Total hours
                                                   recordkeepers     recordkeeper       records
--------------------------------------------------------------------------------------------------------------------------------------------------------
Facility maintains signed certification                   36,000              594       21,384,000   0.004 (0.25 minutes, i.e., 15               85,536
 (878.4635(c)(4)(iii)).                                                                               seconds).
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ There are no capital costs or operating and maintenance costs associated with this collection of information.


                                               Table 4--Estimated Annual Third-Party Disclosure Burden \1\
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                              Number of
         Activity/21 CFR section              Number of      disclosures    Total annual   Average burden per disclosure    Total hours    Total capital
                                             respondents   per respondent    disclosures                                                       costs
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                             One-Time Burden
--------------------------------------------------------------------------------------------------------------------------------------------------------
Facility explains certification on user's          36,000             297      10,692,000  0.008 (30 seconds)...........          85,536      $2,000,000
 first visit.
Manufacturer/Distributor provides user                 20               1              20  15...........................             300          27,800
 manual with device; provides copy of
 manual upon request (878.4635(c)(3)).
                                          --------------------------------------------------------------------------------------------------------------

[[Page 79501]]

 
    Total one-time burden................  ..............  ..............  ..............  .............................          85,836       2,027,800
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                              Annual Burden
--------------------------------------------------------------------------------------------------------------------------------------------------------
Facility provides user manual upon                 36,000             297      10,692,000  0.004 (0.25 minutes, i.e., 15          42,768
 request (878.4635(c)(2)).                                                                  seconds).
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ There are no operating and maintenance costs associated with this collection of information.

    The economic analysis for this rulemaking provides a range of 
33,000 to 39,000 for the number of tanning facilities (18,000 to 19,000 
indoor tanning salons and 15,000 to 20,000 other facilities that offer 
indoor tanning services). In the PRA analysis we use the mean, 36,000 
facilities, for the estimated number of facility-respondents. The 
economic analysis also provides a range for the number of sunlamp 
product users (after accounting for the impact of the age restriction 
and the communication of the risk information) of 10.2 to 11.2 million. 
We used the mean, 10.7 million, to calculate the average number of 
users per facility (10.7 million users divided by 36,000 facilities 
equals an average of 297 users per facility).
    Proposed Sec.  878.4635(c)(2) of the proposed rule would require, 
upon request by a user, tanning facility operators to supply a copy of 
the user manual for their sunlamp products; or the tanning facility 
could supply the name and address where the user could request a copy 
of the manual. We believe the incremental compliance costs to tanning 
facilities would be negligible because facilities receive the user 
manual with the equipment and likely already use the information to 
train their employees. Requests from users would not be frequent and 
the tanning facility need only supply the name and address, which could 
be an email address, of the 510(k) holder. We expect it will take 
approximately 15 seconds for the facility to provide the address.
    Proposed Sec.  878.4635(c)(3) of the proposed rule would require 
the 510(k) holders of sunlamp products to, upon request, supply tanning 
facility operators, users, and potential users copies of their user 
manuals. The 510(k) holders would have to develop standard operating 
procedures (SOPs) for responding to requests. In our experience, it 
would take a company about 5 hours of management time to develop the 
SOPs and set up a system for response. We believe most of the 
approximately 20 510(k) holders would satisfy this proposed requirement 
by making the manuals available on the Internet so recurring costs to 
satisfy requests for the user manual should be negligible. Many 
companies already make user manuals available online but for those who 
do not, it may take up to 10 hours of a computer programmer's time to 
modify the company's Web site and to upload the manuals for both 
current and past models that could still be in use. About 20 firms 
manufacture and distribute sunlamp products that could be affected by 
these proposed requirements. Because we do not know how many of them 
have user manuals online and all would have to modify their Web pages 
so product users could find the manuals, we are assuming all firms will 
incur one-time costs of 5 hours for SOPs and 10 hours to modify their 
Web pages. We include an estimate of $27,800 for one-time capital costs 
to account for the wage rate for a manager and computer programmer.
    Proposed Sec.  878.4365(c)(4)(iii) would require tanning facilities 
to maintain signed risk acknowledgement certifications for at least 1 
year or until the user signs a new risk acknowledgement certification, 
whichever is earlier. The 10.7 million users divided among the 36,000 
tanning facilities yields an average of 297 users per facility and 
since users must sign the certification twice per year, this is 594 
certifications to be maintained by each tanning facility per year. 
Multiplying the 594 certifications by the 36,000 facilities yields 
21,384,000 total certifications to be filed per year. FDA expects that 
filing the certification, either paper or electronic, will take the 
facility 15 seconds or 0.004 hours and this multiplied by the 
21,384,000 total certifications yields a burden estimate of 85,536 
hours for this recordkeeping requirement. As mentioned previously, the 
number of facilities and users is an average based on the range of 
facilities and users stated in the economic analysis of this 
rulemaking. Therefore, the resulting hour burden is consistent with, 
but not identical to, the hours stated in the economic analysis.
    We also assume that the first time a user visits a tanning facility 
after the date the proposed requirements become effective, a tanning 
facility operator would take an extra 30 seconds to explain to the 
prospective user the purpose of the certification and the facility's 
policy regarding its implementation. We have therefore included a one-
time burden estimate for facilities to explain the certification to 
users. As mentioned previously, the numbers of facilities and users are 
averages based on the ranges of facilities and users stated in the 
economic analysis of this rulemaking. Therefore, the resulting hour-
burden is consistent with, but not identical to, the hours stated in 
the economic analysis. We estimate the one-time cost burden will be $2 
million, the mean of the range ($1.9 to 2.1 million) stated in the 
economic analysis.
    In addition, FDA concludes that the user's proof of age in Sec.  
878.4635(c)(1) and the risk acknowledgement certification in Sec.  
878.4635(c)(4) do not constitute information but are rather 
``Affidavits, oaths, affirmations, certifications, receipts, changes of 
address, consents, or acknowledgments . . .'' (5 CFR 1320.3(h)(1)).
    In compliance with the Paperwork Reduction Act of 1995 (44 U.S.C. 
3407(d)), the Agency has submitted the information collection 
provisions of this proposed rule to OMB for review. To ensure that 
comments on information collection are received, OMB recommends that 
written comments be faxed or emailed (see ADDRESSES). These 
requirements will not be effective until FDA obtains OMB approval. FDA 
will publish a notice concerning OMB approval of these requirements in 
the Federal Register.

[[Page 79502]]

VIII. Proposed Effective Date

    FDA proposes that any final rule based on this proposal become 
effective 90 days after its date of publication in the Federal 
Register.

IX. References

    The following references have been placed on display in the 
Division of Dockets Management (see ADDRESSES) and may be seen by 
interested persons between 9 a.m. and 4 p.m., Monday through Friday, 
and online at http://www.regulations.gov (FDA has verified all the Web 
site addresses in this reference section, but we are not responsible 
for any subsequent changes to the Web sites after this document 
publishes in the Federal Register.)

1. Cadet, J., E. Sage, and T. Douki, ``Ultraviolet Radiation-
Mediated Damage to Cellular DNA.'' Mutation Research/Fundamental and 
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2. Wolff, K. ,L.A. Goldsmith, S.I. Katz, et al., Fitzpatrick's 
Dermatology in General Medicine, 7th ed., p. 999, 2006.
3. Lazovich, D., R.I. Vogel, M. Berwick, et al., ``Indoor Tanning 
and Risk of Melanoma: A Case-Control Study in a Highly Exposed 
Population.'' Cancer Epidemiology, Biomarkers & Prevention, 
19(6):1557-1568, 2010.
4. Wolff, K., L.A. Goldsmith, S.I. Katz, et al., Fitzpatrick's 
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5. Gerber, B., P. Mathys, M. Moser, et al., ``Ultraviolet Emission 
Spectra of Sunbeds.'' Photochemistry and Photobiology, 76:664-668, 
2002.
6. Salama, A.K., N. deRosa, R.P. Scheri, et al. ``Hazard-Rate 
Analysis and Patterns of Recurrence in Early Stage Melanoma: Moving 
Towards a Rationally Designed Surveillance Strategy.'' PLoS One, 
8(3):e57665, 2013.
7. Niendorf, K.B. and H. Tsao, ``Cutaneous Melanoma: Family 
Screening and Genetic Testing.'' Dermatologic Therapy, 19:1, 2006.
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9. Vajdic, C.M., A. Kricker, M. Giblin, et al., ``Artificial 
Ultraviolet Radiation and Ocular Melanoma in Australia.'' 
International Journal of Cancer, 112(5):896-900, 2004.
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115:190-198, 2009.
12. Wolff, K. L.A. Goldsmith, S.I. Katz, et al., Fitzpatrick's 
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Letter 20:200509, May 2004.
14. Wolff, K. L.A. Goldsmith, S.I. Katz, et al., Fitzpatrick's 
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Photoaging and Chronological Skin Aging.'' Archives of Dermatology, 
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18. Autier, P. and P. Boyle, ``Artificial Ultraviolet Sources and 
Skin Cancers: Rationale for Restricting Access to Sunbed Use Before 
18 years of Age.'' Nature Clinical Practice. Oncology, 5(4):178-179, 
2008.
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Swedish Urban Adolescents Related to Behavioral Characteristics.'' 
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20. Guy, G.P., Z. Berkowitz, E. Tai, et al., ``Indoor Tanning Among 
High School Students in the United States, 2009 and 2011.'' Journal 
of the American Medical Association Dermatology, 150(5):501-511, 
2014.
21. Demko, C.A., E.A. Borawski, S.M. Debanne, et al., ``Use of 
Indoor Tanning Facilities by White Adolescents in the United 
States.'' Archives of Pediatrics & Adolescent Medicine, 157(9):854-
860, 2003.
22. Mayer, J.A., S.I. Woodruff, D.J. Slymen, et al., ``Adolescents' 
Use of Indoor Tanning: A Large-Scale Evaluation of Psychosocial, 
Environmental, and Policy-Level Correlates.'' American Journal of 
Public Health, 101(5):930-938, 2011.
23. Paul, C.L., A. Girgis, F. Tzelepis, et al., ``Solaria Use by 
Minors in Australia: Is There a Cause for Concern?'' Australian and 
New Zealand Journal of Public Health, 28:90, 2004.
24. Geller, A.C., G. Colditz, S. Oliveria, et al., ``Use of 
Sunscreen, Sunburning Rates, and Tanning Bed Use Among More Than 
10,000 U.S. Children and Adolescents.'' Pediatrics, 109(6):1009-
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25. Cust, A.E., B.K. Armstrong, C. Goumas, et al., ``Sunbed Use 
During Adolescence and Early Adulthood Is Associated With Increased 
Risk of Early-Onset Melanoma.'' International Journal of Cancer, 
128:2425-2435, 2011.
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Tanning: A Cancer Prevention Opportunity for Pediatricians.'' 
Pediatrics, 131:772-785, 2013.
27. Diffey, B., ``Sunbeds, Beauty and Melanoma.'' British Journal of 
Dermatology, 157(2): 215-216, 2007.
28. Herzog, C., A.S. Pappo, M.L. Bondy, et al., ``Malignant 
Melanoma.'' In: A. Bleyer, M. O'Leary and L.A.G. Ries (Eds.), Cancer 
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Age (National Cancer Institute, NIH Pub. No. 06-5767, chapt. 5, pp. 
53-63) 2007. Bethesda, MD: U.S. Department of Health and Human 
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29. Reed, K.B., J.D. Brewer, C.M. Lohse, et al., ``Increasing 
Incidence of Melanoma Among Young Adults: An Epidemiological Study 
in Olmsted County, Minnesota.'' Mayo Clinic Proceedings, 87(4):328-
334, 2012.
30. Boniol, M., P. Autier, P. Boyle, et al., ``Cutaneous Melanoma 
Attributable to Sunbed Use: Systematic Review and Meta-Analysis.'' 
BMJ, 345:e4757, 2012.
31. Colantonio, S., M.B. Bracken, and J. Beecker, ``The Association 
of Indoor Tanning and Melanoma in Adults: Systematic Review and 
Meta-Analysis.'' Journal of the American Academy of Dermatology, 
70(5):847-857, 2014.
32. Wehner, M.R., M.L. Shive, M.M. Chren, et al., ``Indoor Tanning 
and Non-Melanoma Skin Cancer: Systematic Review and Meta-Analysis.'' 
BMJ, 345:e5909, 2012.
33. Bleyer, R.B., ``Cancer in Young Adults 20 to 39 Years of Age: 
Overview.'' Seminars in Oncology, 36(3):194-206, 2009.
34. Gallagher, R.P., J.J. Spinelli, and T.K. Lee, ``Tanning Beds, 
Sunlamps, and Risk of Cutaneous Malignant Melanoma.'' Cancer 
Epidemiology, Biomarkers & Prevention, 14(3):562-566, 2005.
35. Chen, Y.T., R. Dubrow, T. Zheng, et al., ``Sunlamp Use and the 
Risk of Cutaneous Malignant Melanoma: A Population-Based Case-
Control Study in Connecticut, USA.'' International Journal of 
Epidemiology, 27:758-765, 1998.
36. Zhang, M., A.A. Qureshi, A.C. Geller, et al., ``Use of Tanning 
Beds and Incidence of Skin Cancer.'' Journal of Clinical Oncology, 
30(14):1588-1593, 2012.
37. Karagas, M.R., M.S. Zens, Z. Li, et al., ``Early-Onset Basal 
Cell Carcinoma and Indoor Tanning: A Population-Based Study.'' 
Pediatrics, 134:e4-e12, 2014.
38. Whiteman, D.C., C.A. Whiteman, and A.C. Green, ``Childhood Sun 
Exposure as a Risk Factor for Melanoma: A Systematic Review of 
Epidemiological Studies.'' Cancer Causes and Control, 12:69-82, 
2001.
39. Gandini, S., F. Sera, M.S. Cattaruzza, et al., ``Meta-Analysis 
of Risk Factors for Cutaneous Melanoma: I. Common and Atypical 
Naevi.'' European Journal of Cancer, 41:28-44, 2005.
40. Chang, Y.M., J.H. Barret, D.T. Bishop, et al., ``Sun Exposure 
and Melanoma Risk at Different Latitudes: A Pooled Analysis of 5,700 
Cases and 7,216 Controls.'' International Journal of Epidemiology, 
38:814-830, 2009.
41. Knight, J.M., A.N. Kirincich, E.R. Farmer, et al., ``Awareness 
of the Risks of Tanning Lamps Does Not Influence Behavior Among 
College Students,'' Archives of Dermatology, 138:1311-1315, 2002.
42. Poorsatter, S.P. and R.L. Hornung, ``UV Light Abuse and High-
Risk Tanning Behavior Among Undergraduate College

[[Page 79503]]

Students.'' Journal of the American Academy of Dermatology, 56:375-
379, 2007.
43. Jerkegren, E., L. Sandrieser, Y. Brandberg, et al., ``Sun-
Related Behaviour and Melanoma Awareness Among Swedish University 
Students.'' European Journal of Cancer Prevention, 8:27-34, 1999.
44. FDA, 2010 Meeting materials, including presentations, a meeting 
transcript, and meeting summary. Available at: http://www.fda.gov/AdvisoryCommittees/CommitteesMeetingMaterials/MedicalDevices/MedicalDevicesAdvisoryCommittee/GeneralandPlasticSurgeryDevicesPanel/ucm205684.htm.
45. IARC Working Group on Artificial Ultraviolet Light (UV) and Skin 
Cancer: ``The Association of Use of Sunbeds With Cutaneous Malignant 
Melanoma and Other Skin Cancers: A Systematic Review.'' 
International Journal of Cancer, 120:1116-1122, 2009.
46. WHO, ``The World Health Organization Recommends That No Person 
Under 18 Should Use a Sunbed.'' Available at: http://www.who.int/mediacentre/news/notes/2005/np07/en/.
47. AAD, ``Dangers of Indoor Tanning.'' Available at: https://www.aad.org/media-resources/stats-and-facts/prevention-and-care/dangers-of-indoor-tanning.
48. Skin Cancer Foundation, ``American Academy of Pediatrics Calls 
for Ban on Youth Tanning.'' Available at: http://www.skincancer.org/news/tanning/american-academy-of-pediatrics-calls-for-ban-on-youth-tanning.
49. American Academy of Pediatrics, ``Policy Statement--Ultraviolet 
Radiation: A Hazard to Children and Adolescents.'' Pediatrics, 
127(3):588-597, 2011. Available at: http://pediatrics.aappublications.org/content/early/2011/02/28/peds.2010-3501.full.pdf+html.
50. Pawlak, M.T., M. Bui, M. Amir, et al., ``Legislation Restricting 
Access to Indoor Tanning Throughout the World.'' Archives of 
Dermatology, 148:1006-1012, 2012.
51. Guy, G.P., Z. Berkowitz, S.E. Jones, et al., ``State Indoor 
Tanning Laws and Adolescent Indoor Tanning.'' American Journal of 
Public Health, 104(4):e69-e74, 2014.
52. National Conference of State Legislatures, ``Indoor Tanning 
Restrictions for Minors--A State-by-State Comparison.'' Washington, 
DC and Denver, CO: National Conference of State Legislatures. 
Available at: http://www.ncsl.org/issues-research/health/indoor-tanning-restrictions-for-minors.aspx.
53. Centers for Disease Control and Prevention (CDC), ``Skin Cancer: 
Indoor Tanning.'' Available at: http://www.cdc.gov/cancer/skin/basic_info/indoor_tanning.htm.
54. Hirst, N., L. Gordon, P. Gies, et al., ``Estimation of Avoidable 
Skin Cancers and Cost-Savings to Government Associated With 
Regulation of the Solarium Industry in Australia.'' Health Policy, 
89(3):303-311, 2009.
55. Beasley, M.T. and B.S. Kittel, ``Factors That Influence Health 
Risk Behaviors Among Tanning Salon Patrons.'' Evaluation & the 
Health Professions, 20(4):371-388, 1997.
56. Feldman, S.R., A. Liguori, M. Kucenic, et al., ``Ultraviolet 
Exposure Is a Reinforcing Stimulus in Frequent Indoor Tanners.'' 
Journal of the American Academy of Dermatology, 51(1):45-51, July 
2004.
57. Schneider, S. and H. Kr[auml]mer, ``Who Uses Sunbeds? A 
Systematic Literature Review of Risk Groups in Developed 
Countries.'' Journal of the European Academy of Dermatology and 
Venereology, 24:639-648, 2010.
58. http://www.fda.gov/AboutFDA/ReportsManualsForms/Reports/EconomicAnalyses/default.htm.
59. Huntley-Fenner Advisors, ``HFA Review of Risks of Indoor UV 
Tanning Devices Form,'' submitted to FDA, August 9, 2013.
60. Heilig, L.F., R. D'Ambrosia, A.L. Drake, et al., ``A Case for 
Informed Consent? Indoor UV Tanning Facility Operator's Provision of 
Health Risks Information (United States).'' Cancer Causes and 
Control, 16(5):557-560, 2005.
61. http://democrats.energycommerce.house.gov/sites/default/files/documents/False-Health-Info-by-Indoor-Tanning-Industry-2012-2-1.pdf.

List of Subjects in 21 CFR Part 878

    Medical devices.

    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 878 be amended as follows:

PART 878--GENERAL AND PLASTIC SURGERY DEVICES

0
1. The authority citation for part 878 continues to read as follows:

    Authority:  21 U.S.C. 351, 360, 360c, 360e, 360j, 360l, 371.

0
2. Section 878.4635 is amended as follows:
0
a. Redesignate paragraph (c) as paragraph (d);
0
b. Add new paragraph (c);
0
c. Revise the heading of newly designated paragraph (d).
    The revisions and additions read as follows:


Sec.  878.4635  Sunlamp products and ultraviolet lamps intended for use 
in sunlamp products.

* * * * *
    (c) Restrictions on sale, distribution, and use of sunlamp 
products. (1) A tanning facility operator must not permit the use of a 
sunlamp product unless the prospective user is at least 18 years of age 
and has signed the risk acknowledgement certification described in 
paragraph (c)(4) of this section.
    (2) A tanning facility operator must, upon request by a sunlamp 
product user or prospective user, with respect to any sunlamp product 
that the operator operates, provide a copy of the sunlamp product user 
manual or the name and address of the manufacturer or distributor from 
whom a user manual may be obtained.
    (3) In addition to assuring that a user manual accompanies each 
sunlamp product, a 510(k) holder must provide, upon request, a copy of 
the sunlamp product user manual to any tanning facility operator, 
sunlamp product user, or prospective user with respect to any sunlamp 
product it manufactures/manufactured or distributes/distributed.
    (4) Risk acknowledgement certification. (i) The tanning facility 
operator must not permit the use of a sunlamp product unless it obtains 
each prospective user's signature on a risk acknowledgement 
certification that contains the following statement prior to use of the 
sunlamp product, unless the prospective user has previously signed the 
risk acknowledgement certification within the preceding 6 months:
BILLING CODE 4164-01-P

[[Page 79504]]

[GRAPHIC] [TIFF OMITTED] TP22DE15.004


[[Page 79505]]


    (ii) The text of the risk acknowledgement certification shall be at 
least 10-point font.
    (iii) The tanning facility operator shall provide a copy of the 
signed acknowledgement certification to the prospective user and the 
tanning facility shall retain a copy of the signed risk acknowledgement 
certification for 1 year or until the prospective user signs a new risk 
acknowledgement certification, whichever is earlier.
    (d) Electronic product performance standard. * * *

    Dated: December 16, 2015.
Leslie Kux,
Associate Commissioner for Policy.
[FR Doc. 2015-32024 Filed 12-18-15; 8:45 am]
 BILLING CODE 4164-01-C



                                                                      Federal Register / Vol. 80, No. 245 / Tuesday, December 22, 2015 / Proposed Rules                                               79493

                                                 impact on a substantial number of small                 Federal Deposit Insurance Corporation                 the functions of a transfer agent as
                                                 entities. Accordingly, an initial                       12 CFR Chapter III                                    described in § 341.2(a) with respect to
                                                 regulatory flexibility analysis is not                                                                        qualifying securities shall register with
                                                 required.                                               Authority and Issuance                                the FDIC in the manner indicated in this
                                                    The proposed rule would not affect a                   For the reasons stated in the                       section.
                                                 substantial number of small entities.16                 preamble, the Federal Deposit Insurance               *     *     *    *     *
                                                 Currently only 17 entities are registered               Corporation proposes to amend part 341                  (c) * * * Form TA–1 may be
                                                 with the FDIC as registered transfer                    of chapter III of title 12, Code of Federal           completed electronically and is
                                                 agents. Additionally, the FDIC has not                  Regulations as follows:                               available from the FDIC at www.fdic.gov
                                                 received any new registrations for                                                                            or the Federal Financial Institutions
                                                                                                         PART 341—Registration of Securities                   Examination Council at www.ffiec.gov,
                                                 several years. In fact, over the last 10                Transfer Agents
                                                 years, 18 entities have deregistered as                                                                       or upon request, from the Director,
                                                 transfer agents (the most recent                                                                              Division of Risk Management
                                                                                                         ■ 1. The authority citation for part 341
                                                 deregistration was in 2014).                                                                                  Supervision (RMS), FDIC, Washington,
                                                                                                         continues to read as follows:
                                                                                                                                                               DC 20429.
                                                 Furthermore, if any currently registered                  Authority: Secs. 2, 3, 17, 17A and 23(a),           ■ 5. Amend § 341.5 by revising the last
                                                 transfer agent does not meet the                        Securities Exchange Act of 1934, as amended           sentence in paragraph (b) to read as
                                                 threshold requirements, it could                        (15 U.S.C. 78b, 78c, 78q, 78q–1 and 78w(a)).          follows:
                                                 deregister if the proposed rule were                    ■   2. Revise § 341.1 to read as follows:
                                                 adopted as a final rule. Therefore, the                                                                       § 341.5    Withdrawal from registration.
                                                                                                         § 341.1   Scope.
                                                 proposed rule would likely reduce                                                                             *     *    *     *     *
                                                 burden on small entities by increasing                     This part is issued by the Federal                   (b) * * * A Request for Deregistration
                                                 the number of entities that could                       Deposit Insurance Corporation (the                    form is available electronically from
                                                 deregister with the FDIC. As such, the                  FDIC) under sections 2, 3(a)(34)(B), 17,              www.fdic.gov or by request from the
                                                 proposed rule would not have a                          17A and 23(a) of the Securities                       Director, Division of Risk Management
                                                 significant economic impact on a                        Exchange Act of 1934 (the Act), as                    Supervision (RMS), FDIC, Washington,
                                                                                                         amended (15 U.S.C. 78b, 78c(a)(34)(B),                DC 20429.
                                                 substantial number of small entities.
                                                                                                         78q, 78q–1 and 78w(a)) and applies to
                                                 C. Plain Language                                       all insured State nonmember banks,                    *     *    *     *     *
                                                                                                         insured State savings associations, or                § 341.7    [Removed]
                                                   Section 722 of the Gramm-Leach-                       subsidiaries of such institutions, that act
                                                 Bliley Act requires the FDIC to use plain                                                                     ■   6. Remove § 341.7.
                                                                                                         as transfer agents for securities
                                                 language in all proposed and final rules                registered under section 12 of the Act                  By order of the Board of Directors.
                                                 published after January 1, 2000. The                    (15 U.S.C. 78l), or for securities exempt               Dated at Washington, DC, this 15th day of
                                                 FDIC invites comment on how to make                     from registration under subsections                   December, 2015.
                                                 this proposed rule easier to understand.                (g)(2)(B) or (g)(2)(G) of section 12 (15              Federal Deposit Insurance Corporation.
                                                 For example:                                            U.S.C. 781(g)(2)(B) and (G)) (securities              Robert E. Feldman,
                                                   • Has the FDIC organized the material                 of investment companies, including                    Executive Secretary.
                                                 to suit your needs? If not, how could the               mutual funds, and certain insurance                   [FR Doc. 2015–31941 Filed 12–21–15; 8:45 am]
                                                 FDIC present the rule more clearly?                     companies). Such securities are                       BILLING CODE 6714–01–P
                                                                                                         qualifying securities for purposes of this
                                                   • Are the requirements in the rule
                                                                                                         part.
                                                 clearly stated? If not, how could the rule              ■ 3. Amend § 341.2 by revising
                                                 be more clearly stated?                                                                                       DEPARTMENT OF HEALTH AND
                                                                                                         paragraphs (h) and (i) to read as follows:            HUMAN SERVICES
                                                   • Do the regulations contain technical
                                                 language or jargon that is not clear? If                § 341.2   Definitions.
                                                                                                                                                               Food and Drug Administration
                                                 so, which language requires                             *     *     *     *     *
                                                 clarification?                                            (h) The term covered institution                    21 CFR Part 878
                                                                                                         means an insured State nonmember
                                                   • Would a different format (grouping                                                                        [Docket No. FDA–2015–N–1765]
                                                                                                         bank, an insured State savings
                                                 and order of sections, use of headings,                 association, and any subsidiary of such
                                                 paragraphing) make the regulation                                                                             RIN 0910–AH14
                                                                                                         institutions.
                                                 easier to understand? If so, what                         (i) The term qualifying securities                  General and Plastic Surgery Devices:
                                                 changes would achieve that?                             means:                                                Restricted Sale, Distribution, and Use
                                                   • Is this section format adequate? If                   (1) Securities registered on a national             of Sunlamp Products
                                                 not, which of the sections should be                    securities exchange (15 U.S.C. 78l(b)); or
                                                 changed and how?                                          (2) Securities required to be registered            AGENCY:     Food and Drug Administration,
                                                                                                         under section 12(g)(1) of the Act (15                 HHS.
                                                   • What other changes can the FDIC                                                                           ACTION:    Proposed rule.
                                                                                                         U.S.C. 78l(g)(1)), except for securities
                                                 incorporate to make the regulation
                                                                                                         exempted from registration with the
                                                 easier to understand?                                                                                         SUMMARY:   The Food and Drug
                                                                                                         SEC by section 12(g)(2) (C, D, E, F, and
                                                                                                                                                               Administration (FDA or the Agency) is
                                                 List of Subjects in 12 CFR Part 341                     H) of the Act.
rmajette on DSK2TPTVN1PROD with PROPOSALS




                                                                                                         ■ 4. Amend § 341.3 by revising
                                                                                                                                                               proposing to establish device
                                                   Banks, banking, Reporting and                         paragraph (a) and the last sentence in                restrictions for sunlamp products,
                                                 recordkeeping requirements, Savings                     paragraph (c) to read as follows:                     which would restrict their use to
                                                 associations, Securities.                                                                                     individuals age 18 and older, require
                                                                                                         § 341.3   Registration as securities transfer         prospective users to sign a risk
                                                   16 In
                                                                                                         agent.                                                acknowledgement certification before
                                                        2010, the OTS estimated that 5 savings
                                                 associations would be required to register as             (a) Requirement for registration. Any               use, and require the provision of user
                                                 transfer agents. 75 FR 22184 (2010).                    covered institution that performs any of              manuals.


                                            VerDate Sep<11>2014   15:12 Dec 21, 2015   Jkt 238001   PO 00000   Frm 00007   Fmt 4702   Sfmt 4702   E:\FR\FM\22DEP1.SGM    22DEP1


                                                 79494                Federal Register / Vol. 80, No. 245 / Tuesday, December 22, 2015 / Proposed Rules

                                                 DATES: Submit either electronic or                      those submitted as ‘‘Confidential                     Administration, 10903 New Hampshire
                                                 written comments on the proposed rule                   Submissions,’’ publicly viewable at                   Ave., Bldg. 66, Rm. 1438, Silver Spring,
                                                 by March 21, 2016. Submit comments                      http://www.regulations.gov or at the                  MD 20993–0002, 301–796–6397.
                                                 on information collection issues under                  Division of Dockets Management                        SUPPLEMENTARY INFORMATION:
                                                 the Paperwork Reduction Act of 1995 by                  between 9 a.m. and 4 p.m., Monday
                                                 February 22, 2016. See Section VIII for                 through Friday.                                       I. Background and Legal Authority
                                                 the proposed effective date of a final                     • Confidential Submissions—To                         Sunlamp products are both ‘‘devices’’
                                                 rule based on this proposed rule.                       submit a comment with confidential                    under section 201(h) of the Federal
                                                 ADDRESSES: FDA is explicitly seeking                    information that you do not wish to be                Food, Drug, and Cosmetic Act (the
                                                 comment on the risks to health that                     made publicly available, submit your                  FD&C Act) (21 U.S.C. 321(h)), and
                                                 should be included in the risk                          comments only as a written/paper                      ‘‘electronic products’’ under section
                                                 acknowledgement certification. You                      submission. You should submit two                     531(2) of the FD&C Act (21 U.S.C.
                                                 may submit comments as follows:                         copies total. One copy will include the               360hh(2)). They are designed to
                                                                                                         information you claim to be confidential              incorporate one or more ultraviolet (UV)
                                                 Electronic Submissions
                                                                                                         with a heading or cover note that states              lamps intended for irradiation of any
                                                   Submit electronic comments in the                     ‘‘THIS DOCUMENT CONTAINS                              part of the living human body, by UV
                                                 following way:                                          CONFIDENTIAL INFORMATION’’. The                       radiation with wavelengths in air
                                                   • Federal eRulemaking Portal: http://                 Agency will review this copy, including               between 200 and 400 nanometers, to
                                                 www.regulations.gov. Follow the                         the claimed confidential information, in              induce skin tanning (see §§ 878.4635(a)
                                                 instructions for submitting comments.                   its consideration of comments. The                    and 1040.20(b)(9) (21 CFR 878.4635(a)
                                                 Comments submitted electronically,                      second copy, which will have the                      and 1040.20(b)(9))). Sunlamp products
                                                 including attachments, to http://                       claimed confidential information                      include tanning beds and tanning
                                                 www.regulations.gov will be posted to                   redacted/blacked out, will be available               booths. Sunlamp products, as defined in
                                                 the docket unchanged. Because your                      for public viewing and posted on http://              proposed § 878.4635, do not include—
                                                 comment will be made public, you are                    www.regulations.gov. Submit both                      and this proposed rulemaking does not
                                                 solely responsible for ensuring that your               copies to the Division of Dockets                     address—ultraviolet lamps for
                                                 comment does not include any                            Management. If you do not wish your                   dermatological disorders regulated
                                                 confidential information that you or a                  name and contact information to be                    under 21 CFR 878.4630.1
                                                 third party may not wish to be posted,                  made publicly available, you can                         The FD&C Act establishes a
                                                 such as medical information, your or                    provide this information on the cover                 comprehensive system for the regulation
                                                 anyone else’s Social Security number, or                sheet and not in the body of your                     of medical devices intended for human
                                                 confidential business information, such                 comments and you must identify this                   use. Section 513 of the FD&C Act (21
                                                 as a manufacturing process. Please note                 information as ‘‘confidential.’’ Any                  U.S.C. 360c) defines three categories
                                                 that if you include your name, contact                  information marked as ‘‘confidential’’                (classes) of devices, reflecting the
                                                 information, or other information that                  will not be disclosed except in                       regulatory controls needed to provide
                                                 identifies you in the body of your                      accordance with 21 CFR 10.20 and other                reasonable assurance of their safety and
                                                 comments, that information will be                      applicable disclosure law. For more                   effectiveness. The three categories of
                                                 posted on http://www.regulations.gov.                   information about FDA’s posting of                    devices are class I (general controls),
                                                   • If you want to submit a comment                     comments to public dockets, see 80 FR                 class II (special controls), and class III
                                                 with confidential information that you                  56469, September 18, 2015, or access                  (premarket approval).
                                                 do not wish to be made available to the                 the information at: http://www.fda.gov/                  FDA regulates electronic products
                                                 public, submit the comment as a                         regulatoryinformation/dockets/                        under chapter 5, subchapter C, of the
                                                 written/paper submission and in the                     default.htm.                                          FD&C Act (21 U.S.C. 360hh et seq.).
                                                 manner detailed (see ‘‘Written/Paper                       Docket: For access to the docket to                Under these provisions, FDA
                                                 Submissions’’ and ‘‘Instructions’’).                    read background documents or the                      administers an electronic product
                                                 Written/Paper Submissions                               electronic and written/paper comments                 radiation control program to protect the
                                                                                                         received, go to http://                               public health and safety. This authority
                                                    Submit written/paper submissions as
                                                                                                         www.regulations.gov and insert the                    provides for developing, amending, and
                                                 follows:
                                                                                                         docket number, found in brackets in the               administering radiation safety
                                                    • Mail/Hand delivery/Courier (for
                                                                                                         heading of this document, into the                    performance standards for electronic
                                                 written/paper submissions): Division of
                                                                                                         ‘‘Search’’ box and follow the prompts                 products, including sunlamp products.
                                                 Dockets Management (HFA–305), Food
                                                                                                         and/or go to the Division of Dockets                     FDA is undertaking three initiatives to
                                                 and Drug Administration, 5630 Fishers
                                                                                                         Management, 5630 Fishers Lane, Rm.                    address the risks associated with
                                                 Lane, Rm. 1061, Rockville, MD 20852.
                                                    • For written/paper comments                         1061, Rockville, MD 20852.                            sunlamp products. First, in a final
                                                 submitted to the Division of Dockets                       Submit comments on information                     reclassification order that issued June 2,
                                                 Management, FDA will post your                          collection issues to the Office of                    2014 (79 FR 31205 at 31213), FDA
                                                 comment, as well as any attachments,                    Management and Budget in the                          reclassified sunlamp products and UV
                                                 except for information submitted,                       following ways:                                       lamps intended for use in sunlamp
                                                 marked and identified, as confidential,                    • Fax to the Office of Information and             products from class I to class II, and
                                                 if submitted as detailed in                             Regulatory Affairs, OMB, Attn: FDA                    established special controls and
rmajette on DSK2TPTVN1PROD with PROPOSALS




                                                 ‘‘Instructions.’’                                       Desk Officer, FAX: 202–395–7285, or
                                                                                                                                                                 1 UV emitting lamps that are medical devices and
                                                    Instructions: All submissions received               email to oira_submission@omb.eop.gov.
                                                                                                                                                               have different intended uses than devices classified
                                                 must include the Docket No. FDA–                        All comments should be identified with                under 21 CFR 878.4635 (intended to tan skin)
                                                 2015–N–1765 for ‘‘General and Plastic                   the title ‘‘Restricted Sale, Distribution,            would not fall under that regulation. Manufacturers
                                                 Surgery Devices: Restricted Sale,                       and Use of Sunlamp Products.’’                        of such devices would have to obtain approval,
                                                                                                                                                               clearance or authorization to market their device
                                                 Distribution, and Use of Sunlamp                        FOR FURTHER INFORMATION CONTACT: Neil
                                                                                                                                                               under the premarket approval, 510(k) or de novo
                                                 Products.’’ Received comments will be                   R.P. Ogden, Center for Devices and                    pathway. The use of such devices in a pediatric
                                                 placed in the docket and, except for                    Radiological Health, Food and Drug                    population is beyond the scope of this document.



                                            VerDate Sep<11>2014   15:12 Dec 21, 2015   Jkt 238001   PO 00000   Frm 00008   Fmt 4702   Sfmt 4702   E:\FR\FM\22DEP1.SGM   22DEP1


                                                                      Federal Register / Vol. 80, No. 245 / Tuesday, December 22, 2015 / Proposed Rules                                           79495

                                                 premarket notification (510(k))                         consider people who use their own                     high power sunlamp products may be
                                                 requirements under the medical device                   tanning beds (home users) to be tanning               up to 10 to 15 times higher than that of
                                                 authorities of the FD&C Act. The special                facility operators.                                   the midday sun, resulting in an intense
                                                 controls include performance testing                      Certain provisions of the FD&C Act                  amount of exposure that does not exist
                                                 and labeling requirements, including a                  relate specifically to FDA’s authority                in nature (Ref. 5). Users with a personal
                                                 warning that sunlamp products are not                   over restricted devices. For example,                 history of melanoma have an increased
                                                 to be used on persons under the age of                  sections 502(q) and (r) of the FD&C Act               risk of skin cancer, as do users with
                                                 18 years.                                               (21 U.S.C. 352(q) and (r)) provide that a             familial melanoma—having one first-
                                                    Second, and simultaneously with this                 restricted device distributed or offered              degree relative with melanoma doubles
                                                 proposed rule, FDA is proposing                         for sale in any state shall be deemed to              one’s risk of developing melanoma
                                                 amendments to the sunlamp products                      be misbranded if its advertising is false             (Refs. 6, 7). There is also evidence
                                                 and UV lamps performance standard at                    or misleading or fails to include certain             suggesting that individuals who begin
                                                 § 1040.20, which includes technical and                 information regarding the device, or it is            indoor tanning at ages younger than 18
                                                 labeling requirements issued under the                  sold, distributed, or used in violation of            years are particularly vulnerable to the
                                                 radiological health provisions of the                   regulations prescribed under section                  carcinogenic impact of indoor tanning
                                                 FD&C Act. As explained elsewhere in                     520(e), and section 704(a) of the FD&C                (see section III.A for further discussion).
                                                 this issue of the Federal Register, FDA                 Act (21 U.S.C. 374(a)) authorizes FDA to
                                                 is taking this action to reflect current                inspect certain records relating to                   B. Ocular Injury
                                                 scientific knowledge related to sunlamp                 restricted devices.                                      UV and visible radiation from
                                                 product use, harmonize it more closely                    If this proposed rule becomes final, it             sunlamp products can be harmful to the
                                                 with International Electrotechnical                     may be enforced by means of seizure of                eyes if proper protective eyewear is not
                                                 Commission (IEC) International                          the sunlamp product, under section 304                worn. The UV radiation from sunlamp
                                                 Standard 60335–2–27, Ed. 5.0: 2009–12,                  of the FD&C Act (21 U.S.C. 334); a suit               products can cause keratitis and corneal
                                                 and strengthen the warning statement                    for injunction, under section 302 of the              burns, which can be painful and affect
                                                 required by § 1040.20(d)(1)(i) in                       FD&C Act (21 U.S.C. 332); imposition of               vision (Ref. 8). The intense visible light
                                                 accordance with the results of the study                civil money penalties, under section 303              from some sunlamp products can
                                                 FDA conducted under section 230 of the                  of the FD&C Act (21 U.S.C. 333); or                   damage the retina and permanently
                                                 Food and Drug Administration                            criminal prosecution, under section 303               affect vision (Ref. 8). Artificial UV
                                                 Amendments Act of 2007 (Pub. L. 110–                    of the FD&C Act. FDA expects to                       radiation has also been linked to ocular
                                                 85).                                                    cooperate with counterpart agencies at                melanoma, which can cause vision loss
                                                    Finally, in this action, FDA is                      the state level in enforcing the proposed             and often spreads to other parts of the
                                                 proposing device restrictions under                     requirements, if they become final.                   body (Ref. 9).
                                                 section 520(e) of the FD&C Act (21                      Consumer complaints to FDA and State
                                                                                                                                                               C. Discomfort, Pain, and Tenderness on
                                                 U.S.C. 360j(e)), which authorizes FDA to                Agencies would be important in
                                                                                                                                                               the Skin Resulting From Burns to the
                                                 issue regulations imposing restrictions                 identifying entities that violate the
                                                                                                                                                               Skin Due to Acute Overexposure to UV
                                                 on the sale, distribution, or use of a                  conditions for sale or use of these
                                                                                                                                                               Radiation
                                                 device, if, because of its potentiality for             devices.
                                                 harmful effects or the collateral                                                                                A recent study showed that, despite
                                                                                                         II. Risks Posed by the Device                         protective properties touted by
                                                 measures necessary to its use, FDA
                                                 determines that absent such restrictions,                  The General and Plastic Surgery                    commercial tanning facilities such as
                                                 there cannot be a reasonable assurance                  Devices Panel of the Medical Devices                  claims that indoor tanning limits
                                                 of its safety and effectiveness. The                    Advisory Committee (2010 Advisory                     exposure time and intensity, 66 percent
                                                 proposed device restrictions would                      Panel) met on March 25, 2010, to review               of female college-age users reported skin
                                                 require that:                                           and discuss recent information                        erythema (or redness due to sunburn)
                                                    1. Tanning facility operators permit                 regarding the risks to the general public             from indoor tanning, and these users
                                                 use of sunlamp products only if the                     from exposure to sunlamp products, and                reported one episode of sunburn out of
                                                 prospective user is age 18 or older;                    identified the following risks to health              every five tanning sessions (Ref. 10).
                                                    2. Tanning facility operators, upon                  for sunlamp products.2 These risks are                Those findings are in line with a
                                                 request by the user or prospective user,                well documented and discussed in                      previous report that found that 58
                                                 provide a copy of the sunlamp product                   published literature.                                 percent of sunlamp product users ages
                                                 user manual or name and address of the                  A. Increased Skin Cancer Risk From                    11 years to 18 years had experienced
                                                 manufacture or distributor from whom a                  Cumulative, Repeated UV Radiation                     sunburns from exposure to sunlamp
                                                 user manual may be obtained;                            Exposure                                              products (Ref. 11).
                                                    3. 510(k) holders assure that a user                                                                          In certain individuals who are
                                                 manual accompanies each sunlamp                           UV radiation exposure can lead to                   photosensitive, skin exposure to UV
                                                 product and, upon request, provide a                    permanent damage to DNA in the skin,                  radiation may induce unexpected
                                                 copy of the user manual to any tanning                  which has been shown to lead to an                    reactions such as rash, severe burns, and
                                                 facility operator, user or prospective                  increased risk of skin cancer (Refs. 1–3).            hypersensitivity (Ref. 12). Various drugs
                                                 user; and                                               Skin cancers that have been associated                may cause a photosensitivity reaction in
                                                    4. Tanning facility operators obtain                 with cumulative repeated UV radiation                 the skin. Some drugs may cause a
                                                 each prospective user’s signature on a                  exposure include melanoma and non-                    phototoxic reaction when they absorb
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                                                 risk acknowledgement certification.                     melanoma skin cancers (NMSC) such as                  UV–A radiation and cause cellular
                                                    These device restrictions would                      basal cell carcinoma and squamous cell                damage. These drugs include anti-
                                                 primarily apply to tanning facility                     carcinoma (Ref. 4). One study suggests                infective drugs such as tetracyclines and
                                                 operators, and to a lesser extent, device               that doses of UV–A radiation emitted by               fluoroquinolones, cardiovascular drugs
                                                 manufacturers and distributors. FDA                       2 See http://www.fda.gov/AdvisoryCommittees/
                                                                                                                                                               like hydrochlorothiazide and
                                                 considers a tanning facility operator to                CommitteesMeetingMaterials/MedicalDevices/
                                                                                                                                                               amiodarone, psychiatric drugs such as
                                                 be any person offering for sale the use                 MedicalDevicesAdvisoryCommittee/Generaland            phenothiazines, and retinoids such as
                                                 of sunlamp products. FDA would not                      PlasticSurgeryDevicesPanel/ucm205684.htm.             isotretinoin (Ref. 13). Some dietary


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                                                 79496                Federal Register / Vol. 80, No. 245 / Tuesday, December 22, 2015 / Proposed Rules

                                                 supplements may also cause                              a leading cause of cancer death in                    example, children who moved from the
                                                 photosensitivity (Ref. 13).                             women ages 15 years to 29 years and                   United Kingdom to Australia. A number
                                                    Sunlamp products, like most light                    there is some evidence that suggests use              of biological factors, such as skin
                                                 sources, generate heat that can cause                   of sunlamp products is an underlying                  development and formation of nevi at a
                                                 thermal skin burns, similar to any hot                  cause (Refs. 27, 28).                                 young age, are identified as potentially
                                                 surface. Individuals with open wounds                      There is increasing epidemiological                causing the increase in the risk of
                                                 or lesions are particularly susceptible to              evidence that shows that tanning at ages              developing melanoma from exposure to
                                                 burns from UV radiation because these                   younger than 18 years increases the risk              UV radiation, like that from sunlamps
                                                 individuals lack the protective                         of developing melanoma (Refs. 25, 29 to               (Refs. 18, 39). Second, as with other
                                                 epidermal layer of the skin that provides               32). Melanoma (of the types of skin                   radiation exposure, increased
                                                 the body’s greatest protection from UV                  cancer, this is the more concerning type              cumulative lifetime UV exposure results
                                                 irradiation (Ref. 14).                                  due to greater potential for fatality) is             in increased skin cancer risk (Ref. 40).
                                                                                                         currently the second leading type of                     The age restriction also is necessary
                                                 D. Skin Damage                                          cancer in persons age 20 years to 39                  because individuals under 18 often fail
                                                    Cumulative, repeated exposure to UV                  years, and many experts believe that at               to appropriately evaluate the significant
                                                 radiation emitted by sunlamp products                   least one cause for this is the increasing            health risks associated with indoor
                                                 may lead to accelerated aging of skin                   use of sunlamp products (Refs. 30, 33).               tanning. For example, a study has
                                                 due in part to DNA and skin cell                        A 2009 International Agency for                       shown that college age students often
                                                 damage (Ref. 15). UV irradiation inhibits               Research in Cancer (IARC) report linked               use sunlamp products despite
                                                 the production of collagen precursor                    UV exposure (including from indoor                    awareness of the long-term risks (Refs.
                                                 molecules such as type I and type III                   tanning devices) by individuals under                 41 to 43). Rather, persons under age 18
                                                 procollagen (Ref. 16). UV irradiation                   age 35 to higher rates of melanoma as                 years appear to be discounting whatever
                                                 stimulates skin metalloproteinases,                     compared to a similar cohort of                       risk information they are receiving or
                                                 which break down skin proteins that                     individuals who had not used sunlamp                  may have difficulty incorporating the
                                                 then lead to photoaging (Ref. 17). On a                 products, and recommended that                        information into their decisionmaking.
                                                 cellular level, UV radiation has been                   minors not use sunlamp products.                      For example, a recent study links indoor
                                                 known to cause DNA damage (Ref. 1).                     Similarly, a meta-analysis by Gallagher               tanning by high school students to other
                                                                                                         et al. that evaluated metrics of sunlamp              risk-taking behaviors, including binge-
                                                 III. Proposed Device Restrictions
                                                                                                         product exposure, including in young                  drinking, unhealthy weight control,
                                                    FDA is proposing the following                       adults, indicated a significantly                     sexual intercourse, and illegal drug or
                                                 restrictions which, because of the                      increased risk of cutaneous melanoma                  steroid use (Ref. 20). This linkage
                                                 potential for harmful effects from the                  subsequent to sunlamp product                         suggests that, like other risk-taking
                                                 device, are necessary for a reasonable                  exposure (Ref. 34). In particular, the                behaviors, adolescents use sunlamp
                                                 assurance of safety and effectiveness of                analysis showed a positive association                products for self-esteem or sensation
                                                 sunlamp products:                                       between first exposure as a young adult               seeking reasons, irrespective of known
                                                 A. Use Would Be Restricted to                           and subsequent melanoma. Further, a                   health risks (Ref. 20). Similarly, another
                                                 Individuals Age 18 and Older                            case control study in Connecticut found               recent study showed that psychosocial
                                                                                                         a relative risk of 1.4 for melanoma                   and demographic characteristics
                                                    Although the risks associated with                   diagnosis when individuals are exposed                strongly correlated with adolescent
                                                 sunlamp products are applicable to all                  to sunlamp products before the age of 25              indoor tanning (Ref. 22). By restricting
                                                 persons, FDA is proposing to restrict the               (Ref. 35).                                            sunlamp product use to individuals 18
                                                 use of this device to persons age 18 and                   In addition, there is increasing                   and older, we would be protecting a
                                                 older because children and adolescents                  epidemiological evidence that shows                   subpopulation that generally tends to
                                                 who are exposed to UV radiation may be                  that tanning at ages younger than 18                  discount risk information and favor risk
                                                 at higher risk of developing certain                    years increases the risk of developing                taking.
                                                 types of skin cancer than persons who                   NMSC. For example, recent studies                        Based on the scientific evidence
                                                 begin exposure later in life as adults                  found a significantly higher risk for                 available at the time, some members of
                                                 (Ref. 18). In the final reclassification                basal cell carcinoma for individuals                  the 2010 Advisory Panel recommended
                                                 order for this device, FDA established                  who used sunlamp products during                      an age restriction to preclude use by
                                                 special controls labeling regarding                     high school and college as compared to                persons under 18 years of age to reduce
                                                 minors’ use of sunlamp products and                     those who used sunlamp products                       the unintended health effects of these
                                                 UV lamps intended for use in sunlamp                    between the ages of 25 and 35 (Refs. 36,              devices (Ref. 44). The scientific
                                                 products (see § 878.4635(b)(6)). Based                  37).                                                  literature published since that meeting,
                                                 on the increased risk of developing skin                   Individuals under 18 who are exposed               as described in this document, offers
                                                 cancer and minors’ difficulty in                        to UV radiation are at an increased risk              further support for an age restriction
                                                 appreciating the risks posed by the                     of developing skin cancer because (1)                 (Refs. 20, 22, 41).
                                                 devices (see Refs. 19 to 24), FDA has                   there is evidence suggesting that they                   Various professional organizations
                                                 determined that use of sunlamp                          are particularly vulnerable to the                    also support an age restriction on
                                                 products by minors is not appropriate                   damaging effects of UV radiation and (2)              sunlamp product use. The World Health
                                                 and is therefore establishing a proposed                the cumulative effects of exposure have               Organization (WHO) has classified UV
                                                 restriction in this rulemaking action to                been linked to higher incidence of skin               radiation from sunlamp products as a
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                                                 complement the special controls                         cancer. First, evidence suggests that                 class I carcinogen based on the 2009
                                                 labeling.                                               minors exposed to UV radiation are                    IARC report that linked sunlamp
                                                    Published medical evidence                           particularly vulnerable to developing                 product use by individuals under age 35
                                                 demonstrates that there is a direct                     skin cancer (Ref. 38). In particular,                 to higher rates of melanoma and
                                                 correlation between sunlamp product                     migration studies compare people who                  strongly urged consideration of
                                                 use among youths and their developing                   moved from less UV-intense                            restricting minors from using sunlamp
                                                 melanoma skin cancer, as well as other                  environments to more UV-intense                       products (Ref. 45). Accordingly, the
                                                 skin cancers (Refs. 25, 26). Melanoma is                environments at a young age, for                      WHO recommends that persons under


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                                                                      Federal Register / Vol. 80, No. 245 / Tuesday, December 22, 2015 / Proposed Rules                                         79497

                                                 age 18 not use sunlamp products (Ref.                      This age restriction is also important             information to sunlamp product users,
                                                 46).                                                    because parental awareness of the risks,              FDA is proposing that tanning facility
                                                    The American Academy of                              educational campaigns, and parental                   operators be required to provide a copy
                                                 Dermatology (AAD) recognizes WHO’s                      consent to the risks, on their own, have              of the user manual or the name and
                                                 declaration that sunlamp products are                   been shown to be insufficient in                      address of the manufacturer or
                                                 cancer-causing agents and are in the                    reducing indoor tanning in young age                  distributor that can provide a copy of
                                                 same risk category as tobacco, and                      groups (Refs. 21, 22, 41).                            the user manual to any user or
                                                 supports the position that minors                          The risks associated with use of                   prospective user that requests one.
                                                 should not use sunlamp products (Ref.                   sunlamp products by individuals under                 Similarly, FDA is also proposing that
                                                 47). In 2011, the American Academy of                   18 are particularly concerning given the              510(k) holders be required to provide
                                                 Pediatrics published a policy statement                 widespread use of these devices among                 user manuals to any tanning facility
                                                 similar to that of the AAD calling for a                high school students. The Centers for                 operator, user, or prospective user that
                                                 restriction on sunlamp product use by                   Disease Control and Prevention has                    requests one. The electronic product
                                                 minors (Refs. 48, 49).                                  documented high rates of use in U.S.                  performance standard currently requires
                                                    Experts in pediatrics, public health,                high school students from its 2011                    manufacturers to provide manuals to
                                                 and dermatology also support a                          Behavioral Risk Survey: 13 percent of                 purchasers and, upon request, to others
                                                 legislative age restriction on sunlamp                  all high school students report indoor                for the life of the sunlamp product (see
                                                 product use. For example, recent studies                tanning, and 29 percent of white female               § 1040.20(e)). FDA believes that access
                                                 cited other peer reviewed articles to                   high school students report usage in the              to the information contained in the user
                                                 examine the effects of legislation on                   last year (Ref. 53). There are a number               manual would help prospective users
                                                 indoor tanning use (Refs. 22, 50, 51).                  of collaborative studies that have                    make informed decisions when
                                                 They concluded that an age restriction                  demonstrated that young women, in                     considering whether to use the device
                                                 or ban would be far more effective at                   particular, use sunlamp products at                   and would also inform tanning facility
                                                 reducing youth indoor tanning than                      increasingly high rates (Refs. 22 to 24,              operators and users on how to use the
                                                 other potential actions such as parental                57). For example, one study found that                device properly.
                                                 consent (Refs. 22, 50, 51).                             indoor tanning usage (defined as
                                                                                                         tanning during the previous 12 months)                C. Prospective Users Would Have To
                                                    This scientific evidence also has led                                                                      Sign a Risk Acknowledgement
                                                                                                         progressively increased in adolescents
                                                 many State and foreign governments to                                                                         Certification Before Sunlamp Product
                                                                                                         (age 14–17) from 5.5 percent at age 14
                                                 institute age restrictions in the last few                                                                    Use
                                                                                                         to 16.5 percent at age 17, which suggests
                                                 years on the use of sunlamp products by                                                                          FDA is proposing that tanning facility
                                                                                                         that adolescents use indoor tanning
                                                 minors (Ref. 50). To date, more than 40                                                                       operators would have to provide, and
                                                                                                         more often as they get older (Ref. 22).
                                                 states have age restrictions on sunlamp                                                                       sunlamp product prospective users 18
                                                                                                         Another study analyzed the results of a
                                                 product use (Ref. 52). These restrictions                                                                     and older would have to sign, the
                                                                                                         survey of over 10,000 U.S. individuals
                                                 have age limits ranging from ages 14 to                                                                       certification set forth in proposed
                                                                                                         age 12 years to 18 years and found
                                                 18. At least 11 countries have restricted                                                                     § 878.4635(c)(4) prior to use of any
                                                                                                         nearly 10 percent of respondents used a
                                                 the use of sunlamp products to adults                   sunlamp product during the previous                   sunlamp product, unless the
                                                 age 18 and older, including Great                       year and rates increased to 35 percent                prospective user has previously signed
                                                 Britain and France (Refs. 52 to 54).                    for females by age 17, highlighting that              the risk acknowledgement certification
                                                    Restricting use of these devices to                  teenage girls are more likely than their              within the preceding 6 months. The
                                                 individuals 18 and over should reduce                   male counterparts to use indoor tanning               certification provides warnings
                                                 future morbidity and mortality from                     facilities (Ref. 24).                                 regarding sunlamp products as well as
                                                 melanoma and other skin cancers and                        FDA seeks comments on its proposal                 information regarding the proper use of
                                                 would help to protect the public health,                to restrict use of these devices to                   the devices. By making this information
                                                 according to both expert advisory                       individuals 18 years of age and over as               available to users in a direct and
                                                 opinion and findings from current                       well as data and information in support               accessible manner, the certification
                                                 scientific, medical, and public health                  of any comments. In addition, although                would better enable consumers to make
                                                 policy literature (Ref. 54). In the journal             FDA has strong reservations about a                   informed decisions about their use of
                                                 Health Policy in 2009, Hirst et al.                     parent-consent process in this setting,               sunlamp products. Moreover, and as
                                                 estimated that preventing minors from                   we recognize parents’ decision-making                 discussed more fully in this section
                                                 indoor tanning has the potential to                     role. We welcome comment on parental                  III.C, the information could counteract
                                                 reduce the incidence of skin cancers                    consent and its potential scope,                      any false or misleading information that
                                                 and related medical costs (Ref. 54).                    including comments on experiences in                  sunlamp product users may have
                                                    This restriction is particularly                     jurisdictions that have a parental                    received regarding the risks of indoor
                                                 important because, as previously                        consent provision for use of sunlamp                  tanning.
                                                 discussed, it has been shown that                       products.                                                Compliance with this proposed
                                                 increased knowledge of the risks of UV                                                                        requirement would not be unduly
                                                 exposure among adolescents and young                    B. Sunlamp Product User Manuals                       burdensome for tanning facilities. The
                                                 adults does not appreciably alter their                 Would Have To Be Provided to Users,                   certification has already been drafted by
                                                 tanning behavior and attitudes (Refs. 19,               Prospective Users, and Tanning Facility               FDA and, as discussed in the economic
                                                 41, 42, 55). The use of sunlamp                         Operators Upon Request                                analysis in Docket FDA–2015–N–1765
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                                                 products has been suggested to have                       User manuals provide valuable                       and at http://www.fda.gov/AboutFDA/
                                                 both a psychological reinforcing effect                 information to operators and users.                   ReportsManualsForms/Reports/
                                                 in minors due to feedback from others                   Sunlamp product user manuals can                      EconomicAnalyses/default.htm (Ref.
                                                 on minors’ cosmetic appearance or self-                 include vital information such as                     58), tanning facility operators would
                                                 perceptions that leads to continued or                  instructions for use, exposure                        need only a brief amount of time to
                                                 increased use, in addition to the                       schedules, maintenance guidance, and                  explain to the user the purpose of the
                                                 physical reinforcing effect that has been               device warnings. In order to help ensure              certification and to process or file the
                                                 linked to high rates of use (Refs. 19, 56).             the dissemination of this important                   signed certification. Reading and


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                                                 79498                Federal Register / Vol. 80, No. 245 / Tuesday, December 22, 2015 / Proposed Rules

                                                 signing the certification would not be                  regarding the use of sunlamp products                 approaches that maximize net benefits
                                                 overly burdensome for prospective                       that further supports the need for risk               (including potential economic,
                                                 users—the user would need only a brief                  acknowledgement certifications.                       environmental, public health and safety,
                                                 amount of time to read and sign the                        There are reports in the literature that           and other advantages; distributive
                                                 form, if they choose to proceed (Ref. 58).              document tanning facility operators                   impacts; and equity). OMB has
                                                    FDA proposes that the text of the risk               failing to inform patrons of certain risks,           determined that this proposed rule is a
                                                 acknowledgement certification would                     causing various groups to call for                    significant regulatory action as defined
                                                 have to be at least 10-point font and that              ‘‘informed consent’’ or better informing              by Executive Order 12866.
                                                 the tanning facility operator would have                users at indoor tanning facilities (Ref.                 The Regulatory Flexibility Act
                                                 to provide a copy of the signed                         60).                                                  requires Agencies to analyze regulatory
                                                 acknowledgement certification to the                       In keeping with the literature, on                 options that would minimize any
                                                 prospective user and retain a copy of the               February 1, 2012, staff of the U.S. House             significant impact of a rule on small
                                                 signed acknowledgement certification                    of Representatives Committee on Energy                entities. We believe this proposed rule
                                                 for 1 year or until the prospective user                and Commerce released a report                        would result in a significant impact on
                                                 signs a new risk acknowledgement                        summarizing their findings regarding                  a substantial number of small entities,
                                                 certification, whichever is sooner. The                 false and misleading information                      but the impacts are uncertain.
                                                 statements in the certification are                     provided to patrons of indoor tanning                    Section 202(a) of the Unfunded
                                                 intended to inform prospective users of                 salons, especially teenage women. They                Mandates Reform Act of 1995 requires
                                                 the risks they may be exposing                          found, for example, that 90 percent of                that Agencies prepare a written
                                                 themselves to by using the device and                   operators responded that indoor tanning               statement, which includes an
                                                 the inherent risks posed by UV                          presented no risks (Ref. 61). When                    assessment of anticipated costs and
                                                 radiation, as well as provide                           pressed about skin cancer specifically,               benefits, before proposing ‘‘any rule that
                                                 information regarding the proper use of                 more than half of the operators claimed               includes any Federal mandate that may
                                                 the device.                                             indoor tanning would not increase the                 result in the expenditure by State, local,
                                                    When developing the certification,                   risk (Ref. 61). Some operators who did                and tribal governments, in the aggregate,
                                                 FDA aimed to inform readers of the                      inform their patrons of skin cancer risks             or by the private sector, of $100,000,000
                                                 most serious risks in a clear and                       nevertheless mischaracterized the                     or more (adjusted annually for inflation)
                                                 succinct manner in order to promote                     magnitude and the vulnerable                          in any one year.’’ The current threshold
                                                 rapid comprehension and not take more                   subpopulations (Ref. 60). Other                       after adjustment for inflation is $144
                                                 time than necessary for the key                         operators provided misleading benefit                 million, using the most current (2014)
                                                 information to be conveyed and                          information, including claims that                    Implicit Price Deflator for the Gross
                                                 understood. Readability analysis,                       indoor tanning would protect patrons                  Domestic Product. FDA does not expect
                                                 human participants’ usability testing,                  from cancer or beneficially create                    this proposed rule to result in any 1-
                                                 and human factors/risk communication                    vitamin D (Ref. 61).                                  year expenditure that would meet or
                                                 analysis were conducted on the                             These reported practices support the               exceed this amount.
                                                 certification to ensure the certification               need for risk acknowledgement                            The proposed rule would restrict the
                                                 achieved its intended goals clearly and                 certifications, which could counteract                use of sunlamp products to individuals
                                                 succinctly (Refs. 58 and 59). After                     any false or misleading information                   aged 18 years and over and require all
                                                 obtaining feedback from the testing, the                communicated to prospective users.                    prospective users to read and sign a risk
                                                 certification was revised consistent with               This risk acknowledgment will provide                 acknowledgement certification before
                                                 recommendations made in the testing                     prospective users with accurate                       use (unless the prospective user has
                                                 and is presented in this proposed rule                  information about the risks and proper                previously signed the form within the
                                                 with its refined content and format.                    use of the devices so that they can make              preceding 6 months). The social benefits
                                                 FDA welcomes comment on the                             informed decisions about their use of                 from this proposed rule stem from a
                                                 proposed certification form.                            these devices.                                        potential reduction in the incidence of
                                                    Unlike a label that must be affixed to                                                                     skin cancer. The social costs of the
                                                 a device (see § 878.4635(b)(6)(i)(A)), a                IV. Environmental Impact                              proposed rule are associated with the
                                                 risk acknowledgement certification can                    The Agency has determined that                      value of time spent by users and tanning
                                                 include more comprehensive warnings                     under 21 CFR 25.34(f) this proposed                   facility operators on the risk
                                                 to ensure that users are aware of the                   action will not result in increases in the            acknowledgement certifications and
                                                 risks associated with the use of the                    existing levels of use or changes in the              verifying proof of age, as well as other
                                                 devices (Refs. 50 and 59). FDA expects                  intended uses of the product or its                   compliance costs. As discussed more
                                                 that users will consider the risks                      substitutes. Therefore, neither an                    fully in the complete assessment,
                                                 carefully when signing the certification.               environmental assessment nor an                       analyzing the impact of the proposed
                                                 If users were provided the certification                environmental impact statement is                     rule is difficult because of the
                                                 but not required to sign it, they would                 required.                                             uncertainty of how users would be
                                                 be less likely to read the risk                                                                               affected by reading and signing the risk
                                                 information in the certification, and                   V. Analysis of Economic Impacts                       acknowledgment certification and how
                                                 they may even opt not to read the                          FDA has examined the impacts of the                nonuse when under 18 years of age
                                                 certification, mistakenly thinking that it              proposed rule under Executive Order                   would affect later adult use. Because of
                                                 was promotional material provided by                    12866, Executive Order 13563, the                     this uncertainty, we use a 1 to 10
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                                                 the tanning facility.                                   Regulatory Flexibility Act (5 U.S.C.                  percent range in the response rate to the
                                                    Members of the 2010 Advisory Panel                   601–612), and the Unfunded Mandates                   risk information and age restriction,
                                                 recommended that sunlamp product                        Reform Act of 1995 (Pub. L. 104–4).                   assuming that the age restriction
                                                 users be required to read and sign an                   Executive Orders 12866 and 13563                      reduces future tanning. Under these
                                                 acknowledgement of risks related to                     direct Agencies to assess all costs and               scenarios, assuming a discount rate of 7
                                                 sunlamp products before using the                       benefits of available regulatory                      percent the annualized cost over 10
                                                 device. Since this meeting, FDA has                     alternatives and, when regulation is                  years would range from $104 million to
                                                 become aware of additional information                  necessary, to select regulatory                       $114 million; annualized benefits would


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                                                                                 Federal Register / Vol. 80, No. 245 / Tuesday, December 22, 2015 / Proposed Rules                                                                                                                            79499

                                                 range from $70 to $115 million. With a                                                In addition to the social costs, the                                                   million to $820 million at a 7 percent
                                                 3 percent discount rate the annualized                                              proposed rule would likely generate                                                      discount rate over 10 years and from
                                                 cost over 10 years would range from                                                 distribution effects from the reduced                                                    about $500 million to $825 million at a
                                                 $122 million to $144 million;                                                       demand for tanning services. The                                                         3 percent discount rate.
                                                 annualized benefits would range from                                                annualized reduction in indoor tanning
                                                 $151 to $248 million.                                                               revenues would range from about $500

                                                                                                              TABLE 1—SUMMARY OF THE IMPACT OF THE PROPOSED RULE
                                                                                                                                                                      [$ millions]

                                                                                                                             7% Discount                    7% Discount                     7% Discount                    3% Discount                    3% Discount                     3% Discount
                                                                                                                              rate, 5%                       rate, 1%                        rate, 10%                      rate, 5%                       rate, 1%                        rate, 10%
                                                                                                                               impact                         impact                           impact                        impact                         impact                           impact

                                                                                                                                                    Present Value over 10 Years

                                                 Benefits ....................................................                            632.9                          491.7                             806.8                      1,657.3                        1,284.4                   2,115.7
                                                 Costs ........................................................                           763.4                          732.2                             801.7                      1,126.4                        1,043.3                   1,228.6
                                                 Net Benefits .............................................                             ¥130.5                         ¥240.5                                5.1                        530.9                          241.1                     887.1
                                                 Lost Revenue ...........................................                               4,532.9                        3,527.2                           5,770.4                       5222.4                         4287.4                    7040.7

                                                                                                                                                  Annualized Value over 10 Years

                                                 Benefits ....................................................                              90.1                              70.0                        114.9                          194.3                          150.6                    248.0
                                                 Costs ........................................................                            107.2                             104.2                        114.1                          132.1                          122.3                    144.0
                                                 Net Benefits .............................................                                ¥18.6                             ¥34.2                          0.7                           62.2                           28.3                    104.0
                                                 Revenue Loss ..........................................                                   645.4                             502.2                        821.6                          647.4                          502.6                    825.4
                                                   Note: The impacts are tied to the acknowledgement certification and changing habits, which we interpret as the effect of age restrictions in dis-
                                                 rupting the development of a habit for indoor tanning.


                                                   Tanning salons and most of the other                                              not all, entities are small businesses.                                                    The full assessment of the economic
                                                 establishments who offer commercial                                                 There are 18,000 to 19,000 indoor                                                        analysis is available in Docket FDA–
                                                 tanning services are classified as Other                                            tanning salons and 15,000 to 20,000                                                      2015–N–1765 and at http://www.fda.
                                                 Personal Care Services under the North                                              other facilities that offer indoor tanning                                               gov/AboutFDA/ReportsManualsForms/
                                                 American Industry Classification                                                    services. The proposed rule would have                                                   Reports/EconomicAnalyses/default.htm
                                                 System (NAICS 812199). We do not                                                    a significant impact on a substantial                                                    (Ref. 62). Table 2 summarizes the
                                                 have information on the size                                                        number of small entities chiefly due to                                                  analysis.
                                                 distribution of this industry but most, if                                          the loss of revenue.
                                                                        TABLE 2—SUMMARY OF BENEFITS, COSTS AND DISTRIBUTIONAL EFFECTS OF THE PROPOSED RULE
                                                                                                                                                                                                                                           Units
                                                                                                                            Primary
                                                                           Category                                                                Low estimate               High estimate                                                                          Period                   Notes
                                                                                                                            estimate                                                                                                 Discount rate
                                                                                                                                                                                                           Year dollars                                             covered
                                                                                                                                                                                                                                         (%)                        (years)

                                                 Benefits:
                                                    Annualized Monetized $millions/year ....                                        $90.10                     $70.00                    $114.90                         2014                             7                        10
                                                                                                                                    194.30                     150.60                      248.00                        2014                             3                        10
                                                       Annualized Quantified ............................              ........................   ........................    ........................                   2014                             7                        10
                                                                                                                       ........................   ........................    ........................                   2014                             3                        10
                                                     Qualitative ..............................................        ........................   ........................    ........................   ........................   ........................   ........................
                                                 Costs:
                                                     Annualized .............................................                       107.20                     104.20                      114.10                        2014                             7                        10
                                                     Monetized $millions/year .......................                               132.10                     122.30                      144.00                        2014                             3                        10
                                                     Annualized .............................................          ........................   ........................    ........................                   2014                             7                        10
                                                     Quantified ...............................................        ........................   ........................    ........................                   2014                             3                        10
                                                     Qualitative ..............................................        ........................   ........................    ........................   ........................   ........................   ........................
                                                 Transfers:
                                                     Federal Annualized ................................               ........................   ........................    ........................                  2014                             7                        20
                                                     Monetized $millions/year .......................                  ........................   ........................    ........................                  2014                             3                        20

                                                                                                                       From:                                                                             To:

                                                       Other Annualized ...................................                           645.4                     502.2                       821.6                       2014                             7                        10
                                                       Monetized $millions/year .......................                               647.4                     502.6                       825.4                       2014                             3                        10
rmajette on DSK2TPTVN1PROD with PROPOSALS




                                                                                                                       From: Industry                                                                    To: Consumer

                                                 Effects ...........................................................                                     This will have a significant impact on a substantial number of small entities.




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                                                 79500                 Federal Register / Vol. 80, No. 245 / Tuesday, December 22, 2015 / Proposed Rules

                                                 VI. Federalism                                           would not cause the device to be in                    burden of the collection of information
                                                    FDA has analyzed this proposed rule                   violation of a requirement under the                   on respondents, including through the
                                                                                                          FD&C Act. Following this process, and                  use of automated collection techniques,
                                                 in accordance with the principles set
                                                                                                          if this rule becomes final, a State or                 when appropriate, and other forms of
                                                 forth in Executive Order 13132. Section
                                                                                                          local government may request an                        information technology.
                                                 4(a) of the Executive order requires
                                                                                                          exemption from preemption for those                       Title: Restricted sale, distribution, and
                                                 Agencies to ‘‘construe * * * a Federal
                                                                                                          State or local requirements pertaining to              use of sunlamp products.
                                                 statute to preempt State law only where
                                                                                                          sunlamp products that are preempted by                    Description: FDA is requesting OMB
                                                 the statute contains an express
                                                                                                          the Agency’s final rule. FDA’s rules that              approval of the requirements set forth in
                                                 preemption provision or there is some
                                                                                                          detail the content of such requests and                this proposed rule, which would: (1)
                                                 other clear evidence that the Congress
                                                                                                          the process for considering them are                   Restrict the use of sunlamp products to
                                                 intended preemption of State law, or
                                                                                                          contained within 21 CFR part 808.                      individuals age 18 years and over
                                                 where the exercise of State authority
                                                 conflicts with the exercise of Federal                   VII. Paperwork Reduction Act of 1995                   (§ 878.4635(c)(1)); (2) require that
                                                 authority under the Federal statute.’’                                                                          tanning facility operators provide a user
                                                                                                            This proposed rule contains
                                                 Federal law includes an express                          information collection provisions that                 manual to users and prospective users
                                                 preemption provision that preempts                       are subject to review by the Office of                 that request one, or the name and
                                                 certain State requirements ‘‘different                   Management and Budget (OMB) under                      address of the manufacturer or
                                                 from or in addition to’’ certain Federal                 the Paperwork Reduction Act of 1995                    distributor from who a user manual may
                                                 requirements applicable to devices (21                   (44 U.S.C. 3501–3520). The title,                      be obtained (21 CFR 878.4635(c)(2)); (3)
                                                 U.S.C. 360k; See Medtronic, Inc. v. Lohr,                description, and respondent description                require that sunlamp product 510(k)
                                                 518 U.S. 470 (1996); Riegel v.                           of the information collection provisions               holders accompany each product with a
                                                 Medtronic, Inc., 552 U.S. 312 (2008)).                   are shown in this section VII with an                  user manual and provide a user manual
                                                 This proposed rule creates a                             estimate of the annual recordkeeping.                  to users and tanning facility operators
                                                 requirement under 21 U.S.C. 360k.                        Included in the estimate is the time for               that request one (§ 878.4635(c)(3)); and
                                                    At the time of publication of this                    maintaining documentation and                          (4) require all prospective users to read
                                                 proposed rule, most States and some                      disclosing materials.                                  and sign a risk acknowledgement
                                                 localities have acted to impose some                       FDA invites comments on these                        certification before use (unless the
                                                 form or restriction on tanning for                       topics: (1) Whether the proposed                       prospective user has previously signed
                                                 minors.3 Section 521(b) of the FD&C Act                  collection of information is necessary                 the certification within the preceding 6
                                                 (21 U.S.C. 360k(b)) provides that the                    for the proper performance of FDA’s                    months) (§ 878.4635(c)(4)).
                                                 Commissioner of Food and Drugs may,                      functions, including whether the                          Description of Respondents: The
                                                 upon application of a State or local                     information will have practical utility;               requirements apply to manufacturers
                                                 government, exempt a requirement from                    (2) the accuracy of FDA’s estimate of the              and distributors of sunlamp products,
                                                 preemption, if the State or local                        burden of the proposed collection of                   sunlamp product users and prospective
                                                 requirement for the device is more                       information, including the validity of                 users, as well as tanning facility
                                                 stringent than the requirement under                     the methodology and assumptions used;                  operators.
                                                 the FD&C Act, or if the requirement is                   (3) ways to enhance the quality, utility,                 Burden: FDA estimates the burden of
                                                 necessitated by compelling local                         and clarity of the information to be                   this collection of information to be as
                                                 conditions and compliance with it                        collected; and (4) ways to minimize the                follows:

                                                                                             TABLE 3—ESTIMATED ANNUAL RECORDKEEPING BURDEN 1
                                                                                                                                                Number of                                Average
                                                                                                                           Number of                            Total annual
                                                                     Activity/21 CFR section                                                   records per                              burden per      Total hours
                                                                                                                         recordkeepers                            records
                                                                                                                                              recordkeeper                            recordkeeping

                                                 Facility maintains signed certification (878.4635(c)(4)(iii)) ...          36,000                 594          21,384,000            0.004 (0.25         85,536
                                                                                                                                                                                        minutes,
                                                                                                                                                                                        i.e., 15 sec-
                                                                                                                                                                                        onds).
                                                    1 There   are no capital costs or operating and maintenance costs associated with this collection of information.

                                                                                        TABLE 4—ESTIMATED ANNUAL THIRD-PARTY DISCLOSURE BURDEN 1
                                                                                                                            Number of                             Average
                                                                                                         Number of          disclosures        Total annual                                             Total capital
                                                              Activity/21 CFR section                                                                            burden per            Total hours
                                                                                                        respondents             per            disclosures                                                 costs
                                                                                                                                                                 disclosure
                                                                                                                            respondent

                                                                                                                 One-Time Burden
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                                                 Facility explains certification on user’s first                36,000                 297         10,692,000   0.008 (30                     85,536      $2,000,000
                                                   visit.                                                                                                         seconds).
                                                 Manufacturer/Distributor provides user                            20                     1               20    15 ................              300           27,800
                                                   manual with device; provides copy of
                                                   manual upon request (878.4635(c)(3)).


                                                   3 National Conference of State Legislators, Indoor     Comparison, http://www.ncsl.org/research/health/       indoor-tanning-restrictions.aspx (last updated July
                                                 Tanning Restrictions for Minors—A State-by-State                                                                1, 2015).



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                                                                       Federal Register / Vol. 80, No. 245 / Tuesday, December 22, 2015 / Proposed Rules                                                                              79501

                                                                              TABLE 4—ESTIMATED ANNUAL THIRD-PARTY DISCLOSURE BURDEN 1—Continued
                                                                                                                                      Number of                                             Average
                                                                                                           Number of                  disclosures               Total annual                                                     Total capital
                                                              Activity/21 CFR section                                                                                                      burden per             Total hours
                                                                                                          respondents                     per                   disclosures                                                         costs
                                                                                                                                                                                           disclosure
                                                                                                                                      respondent

                                                      Total one-time burden .........................    ........................   ........................   ........................   .....................         85,836      2,027,800

                                                                                                                          Annual Burden

                                                 Facility provides user manual upon re-                               36,000                          297           10,692,000            0.004 (0.25                   42,768
                                                   quest (878.4635(c)(2)).                                                                                                                  minutes,
                                                                                                                                                                                            i.e., 15
                                                                                                                                                                                            seconds).
                                                    1 There   are no operating and maintenance costs associated with this collection of information.


                                                    The economic analysis for this                             develop the SOPs and set up a system                                        average based on the range of facilities
                                                 rulemaking provides a range of 33,000                         for response. We believe most of the                                        and users stated in the economic
                                                 to 39,000 for the number of tanning                           approximately 20 510(k) holders would                                       analysis of this rulemaking. Therefore,
                                                 facilities (18,000 to 19,000 indoor                           satisfy this proposed requirement by                                        the resulting hour burden is consistent
                                                 tanning salons and 15,000 to 20,000                           making the manuals available on the                                         with, but not identical to, the hours
                                                 other facilities that offer indoor tanning                    Internet so recurring costs to satisfy                                      stated in the economic analysis.
                                                 services). In the PRA analysis we use                         requests for the user manual should be                                         We also assume that the first time a
                                                 the mean, 36,000 facilities, for the                          negligible. Many companies already                                          user visits a tanning facility after the
                                                 estimated number of facility-                                 make user manuals available online but                                      date the proposed requirements become
                                                 respondents. The economic analysis                            for those who do not, it may take up to                                     effective, a tanning facility operator
                                                 also provides a range for the number of                       10 hours of a computer programmer’s                                         would take an extra 30 seconds to
                                                 sunlamp product users (after accounting                       time to modify the company’s Web site                                       explain to the prospective user the
                                                 for the impact of the age restriction and                     and to upload the manuals for both                                          purpose of the certification and the
                                                 the communication of the risk                                 current and past models that could still                                    facility’s policy regarding its
                                                 information) of 10.2 to 11.2 million. We                      be in use. About 20 firms manufacture                                       implementation. We have therefore
                                                 used the mean, 10.7 million, to calculate                     and distribute sunlamp products that                                        included a one-time burden estimate for
                                                 the average number of users per facility                      could be affected by these proposed                                         facilities to explain the certification to
                                                 (10.7 million users divided by 36,000                         requirements. Because we do not know                                        users. As mentioned previously, the
                                                 facilities equals an average of 297 users                     how many of them have user manuals                                          numbers of facilities and users are
                                                 per facility).                                                online and all would have to modify                                         averages based on the ranges of facilities
                                                    Proposed § 878.4635(c)(2) of the                           their Web pages so product users could                                      and users stated in the economic
                                                 proposed rule would require, upon                             find the manuals, we are assuming all                                       analysis of this rulemaking. Therefore,
                                                 request by a user, tanning facility                           firms will incur one-time costs of 5                                        the resulting hour-burden is consistent
                                                 operators to supply a copy of the user                        hours for SOPs and 10 hours to modify                                       with, but not identical to, the hours
                                                 manual for their sunlamp products; or                         their Web pages. We include an estimate                                     stated in the economic analysis. We
                                                 the tanning facility could supply the                         of $27,800 for one-time capital costs to                                    estimate the one-time cost burden will
                                                 name and address where the user could                         account for the wage rate for a manager                                     be $2 million, the mean of the range
                                                 request a copy of the manual. We                              and computer programmer.                                                    ($1.9 to 2.1 million) stated in the
                                                 believe the incremental compliance                               Proposed § 878.4365(c)(4)(iii) would                                     economic analysis.
                                                 costs to tanning facilities would be                          require tanning facilities to maintain                                         In addition, FDA concludes that the
                                                 negligible because facilities receive the                     signed risk acknowledgement                                                 user’s proof of age in § 878.4635(c)(1)
                                                 user manual with the equipment and                            certifications for at least 1 year or until                                 and the risk acknowledgement
                                                 likely already use the information to                         the user signs a new risk                                                   certification in § 878.4635(c)(4) do not
                                                 train their employees. Requests from                          acknowledgement certification,                                              constitute information but are rather
                                                 users would not be frequent and the                           whichever is earlier. The 10.7 million                                      ‘‘Affidavits, oaths, affirmations,
                                                 tanning facility need only supply the                         users divided among the 36,000 tanning                                      certifications, receipts, changes of
                                                 name and address, which could be an                           facilities yields an average of 297 users                                   address, consents, or acknowledgments
                                                 email address, of the 510(k) holder. We                       per facility and since users must sign                                      . . .’’ (5 CFR 1320.3(h)(1)).
                                                 expect it will take approximately 15                          the certification twice per year, this is                                      In compliance with the Paperwork
                                                 seconds for the facility to provide the                       594 certifications to be maintained by                                      Reduction Act of 1995 (44 U.S.C.
                                                 address.                                                      each tanning facility per year.                                             3407(d)), the Agency has submitted the
                                                    Proposed § 878.4635(c)(3) of the                           Multiplying the 594 certifications by the                                   information collection provisions of this
                                                 proposed rule would require the 510(k)                        36,000 facilities yields 21,384,000 total                                   proposed rule to OMB for review. To
                                                 holders of sunlamp products to, upon                          certifications to be filed per year. FDA                                    ensure that comments on information
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                                                 request, supply tanning facility                              expects that filing the certification,                                      collection are received, OMB
                                                 operators, users, and potential users                         either paper or electronic, will take the                                   recommends that written comments be
                                                 copies of their user manuals. The 510(k)                      facility 15 seconds or 0.004 hours and                                      faxed or emailed (see ADDRESSES). These
                                                 holders would have to develop standard                        this multiplied by the 21,384,000 total                                     requirements will not be effective until
                                                 operating procedures (SOPs) for                               certifications yields a burden estimate of                                  FDA obtains OMB approval. FDA will
                                                 responding to requests. In our                                85,536 hours for this recordkeeping                                         publish a notice concerning OMB
                                                 experience, it would take a company                           requirement. As mentioned previously,                                       approval of these requirements in the
                                                 about 5 hours of management time to                           the number of facilities and users is an                                    Federal Register.


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                                                 79502                Federal Register / Vol. 80, No. 245 / Tuesday, December 22, 2015 / Proposed Rules

                                                 VIII. Proposed Effective Date                           13. Shields, KM, ‘‘Drug-Induced                            Adolescents and Young Adults 15 to 29
                                                                                                              Photosensitivity.’’ Pharmacist’s Letter               Years of Age (National Cancer Institute,
                                                   FDA proposes that any final rule                           20:200509, May 2004.                                  NIH Pub. No. 06–5767, chapt. 5, pp. 53–
                                                 based on this proposal become effective                 14. Wolff, K. L.A. Goldsmith, S.I. Katz, et al.,           63) 2007. Bethesda, MD: U.S.
                                                 90 days after its date of publication in                     Fitzpatrick’s Dermatology in General                  Department of Health and Human
                                                 the Federal Register.                                        Medicine, 7th ed., p. 57, 2006.                       Services.
                                                                                                         15. Wolff, K. L.A. Goldsmith, S.I. Katz, et al.,      29. Reed, K.B., J.D. Brewer, C.M. Lohse, et al.,
                                                 IX. References                                               Fitzpatrick’s Dermatology in General                  ‘‘Increasing Incidence of Melanoma
                                                    The following references have been                        Medicine, 7th ed., p. 815, 2006.                      Among Young Adults: An
                                                 placed on display in the Division of                    16. Fisher, G.J., S. Kang, J. Varani, et al.,              Epidemiological Study in Olmsted
                                                                                                              ‘‘Mechanisms of Photoaging and                        County, Minnesota.’’ Mayo Clinic
                                                 Dockets Management (see ADDRESSES)
                                                                                                              Chronological Skin Aging.’’ Archives of               Proceedings, 87(4):328–334, 2012.
                                                 and may be seen by interested persons                        Dermatology, 138(11):1462–1470, 2002.            30. Boniol, M., P. Autier, P. Boyle, et al.,
                                                 between 9 a.m. and 4 p.m., Monday                       17. Quan, T., Z. Qin, W. Xia, et al., ‘‘Matrix-            ‘‘Cutaneous Melanoma Attributable to
                                                 through Friday, and online at http://                        Degrading Metalloproteinases in                       Sunbed Use: Systematic Review and
                                                 www.regulations.gov (FDA has verified                        Photoaging.’’ Journal of Investigative                Meta-Analysis.’’ BMJ, 345:e4757, 2012.
                                                 all the Web site addresses in this                           Dermatology Symposium Proceedings,               31. Colantonio, S., M.B. Bracken, and J.
                                                 reference section, but we are not                            14(1);20–24, 2009.                                    Beecker, ‘‘The Association of Indoor
                                                 responsible for any subsequent changes                  18. Autier, P. and P. Boyle, ‘‘Artificial                  Tanning and Melanoma in Adults:
                                                                                                              Ultraviolet Sources and Skin Cancers:                 Systematic Review and Meta-Analysis.’’
                                                 to the Web sites after this document
                                                                                                              Rationale for Restricting Access to                   Journal of the American Academy of
                                                 publishes in the Federal Register.)                          Sunbed Use Before 18 years of Age.’’                  Dermatology, 70(5):847–857, 2014.
                                                 1. Cadet, J., E. Sage, and T. Douki,                         Nature Clinical Practice. Oncology,              32. Wehner, M.R., M.L. Shive, M.M. Chren,
                                                      ‘‘Ultraviolet Radiation-Mediated Damage                 5(4):178–179, 2008.                                   et al., ‘‘Indoor Tanning and Non-
                                                      to Cellular DNA.’’ Mutation Research/              19. Boldeman, C., B. Jansson, B. Nilsson, et               Melanoma Skin Cancer: Systematic
                                                      Fundamental and Molecular                               al., ‘‘Sunbed Use in Swedish Urban                    Review and Meta-Analysis.’’ BMJ,
                                                      Mechanisms of Mutagenesis, 571(1–2):3–                  Adolescents Related to Behavioral                     345:e5909, 2012.
                                                      17, 2005.                                               Characteristics.’’ Preventive Medicine,          33. Bleyer, R.B., ‘‘Cancer in Young Adults 20
                                                 2. Wolff, K. ,L.A. Goldsmith, S.I. Katz, et al.,             26:114–119, 1997.                                     to 39 Years of Age: Overview.’’ Seminars
                                                      Fitzpatrick’s Dermatology in General               20. Guy, G.P., Z. Berkowitz, E. Tai, et al.,               in Oncology, 36(3):194–206, 2009.
                                                      Medicine, 7th ed., p. 999, 2006.                        ‘‘Indoor Tanning Among High School               34. Gallagher, R.P., J.J. Spinelli, and T.K. Lee,
                                                 3. Lazovich, D., R.I. Vogel, M. Berwick, et al.,             Students in the United States, 2009 and               ‘‘Tanning Beds, Sunlamps, and Risk of
                                                      ‘‘Indoor Tanning and Risk of Melanoma:                  2011.’’ Journal of the American Medical               Cutaneous Malignant Melanoma.’’
                                                      A Case-Control Study in a Highly                        Association Dermatology, 150(5):501–                  Cancer Epidemiology, Biomarkers &
                                                      Exposed Population.’’ Cancer                            511, 2014.                                            Prevention, 14(3):562–566, 2005.
                                                      Epidemiology, Biomarkers & Prevention,             21. Demko, C.A., E.A. Borawski, S.M.                  35. Chen, Y.T., R. Dubrow, T. Zheng, et al.,
                                                      19(6):1557–1568, 2010.                                  Debanne, et al., ‘‘Use of Indoor Tanning              ‘‘Sunlamp Use and the Risk of Cutaneous
                                                 4. Wolff, K., L.A. Goldsmith, S.I. Katz, et al.,             Facilities by White Adolescents in the                Malignant Melanoma: A Population-
                                                      Fitzpatrick’s Dermatology in General                    United States.’’ Archives of Pediatrics &             Based Case-Control Study in
                                                      Medicine, 7th ed., p. 814, 2006.                        Adolescent Medicine, 157(9):854–860,                  Connecticut, USA.’’ International
                                                 5. Gerber, B., P. Mathys, M. Moser, et al.,                  2003.                                                 Journal of Epidemiology, 27:758–765,
                                                      ‘‘Ultraviolet Emission Spectra of                  22. Mayer, J.A., S.I. Woodruff, D.J. Slymen,               1998.
                                                      Sunbeds.’’ Photochemistry and                           et al., ‘‘Adolescents’ Use of Indoor             36. Zhang, M., A.A. Qureshi, A.C. Geller, et
                                                      Photobiology, 76:664–668, 2002.                         Tanning: A Large-Scale Evaluation of                  al., ‘‘Use of Tanning Beds and Incidence
                                                 6. Salama, A.K., N. deRosa, R.P. Scheri, et al.              Psychosocial, Environmental, and                      of Skin Cancer.’’ Journal of Clinical
                                                      ‘‘Hazard-Rate Analysis and Patterns of                  Policy-Level Correlates.’’ American                   Oncology, 30(14):1588–1593, 2012.
                                                      Recurrence in Early Stage Melanoma:                     Journal of Public Health, 101(5):930–938,        37. Karagas, M.R., M.S. Zens, Z. Li, et al.,
                                                      Moving Towards a Rationally Designed                    2011.                                                 ‘‘Early-Onset Basal Cell Carcinoma and
                                                      Surveillance Strategy.’’ PLoS One,                 23. Paul, C.L., A. Girgis, F. Tzelepis, et al.,            Indoor Tanning: A Population-Based
                                                      8(3):e57665, 2013.                                      ‘‘Solaria Use by Minors in Australia: Is              Study.’’ Pediatrics, 134:e4–e12, 2014.
                                                 7. Niendorf, K.B. and H. Tsao, ‘‘Cutaneous                   There a Cause for Concern?’’ Australian          38. Whiteman, D.C., C.A. Whiteman, and
                                                      Melanoma: Family Screening and                          and New Zealand Journal of Public                     A.C. Green, ‘‘Childhood Sun Exposure as
                                                      Genetic Testing.’’ Dermatologic Therapy,                Health, 28:90, 2004.                                  a Risk Factor for Melanoma: A
                                                      19:1, 2006.                                        24. Geller, A.C., G. Colditz, S. Oliveria, et al.,         Systematic Review of Epidemiological
                                                 8. Walters, B.L. and T.M. Kelley,                            ‘‘Use of Sunscreen, Sunburning Rates,                 Studies.’’ Cancer Causes and Control,
                                                      ‘‘Commercial Tanning Facilities: A New                  and Tanning Bed Use Among More Than                   12:69–82, 2001.
                                                      Source of Eye Injury.’’ The American                    10,000 U.S. Children and Adolescents.’’          39. Gandini, S., F. Sera, M.S. Cattaruzza, et
                                                      Journal of Emergency Medicine,                          Pediatrics, 109(6):1009–1014, June 2002.              al., ‘‘Meta-Analysis of Risk Factors for
                                                      5(5):386–389, 1987.                                25. Cust, A.E., B.K. Armstrong, C. Goumas, et              Cutaneous Melanoma: I. Common and
                                                 9. Vajdic, C.M., A. Kricker, M. Giblin, et al.,              al., ‘‘Sunbed Use During Adolescence                  Atypical Naevi.’’ European Journal of
                                                      ‘‘Artificial Ultraviolet Radiation and                  and Early Adulthood Is Associated With                Cancer, 41:28–44, 2005.
                                                      Ocular Melanoma in Australia.’’                         Increased Risk of Early-Onset                    40. Chang, Y.M., J.H. Barret, D.T. Bishop, et
                                                      International Journal of Cancer,                        Melanoma.’’ International Journal of                  al., ‘‘Sun Exposure and Melanoma Risk
                                                      112(5):896–900, 2004.                                   Cancer, 128:2425–2435, 2011.                          at Different Latitudes: A Pooled Analysis
                                                 10. Stapleton, J.L., J. Hillhouse, R. Turrisi, et       26. Balk, S.J., D.E. Fisher, and A.C. Geller,              of 5,700 Cases and 7,216 Controls.’’
                                                      al., ‘‘Erythema and Ultraviolet Indoor                  ‘‘Teens and Indoor Tanning: A Cancer                  International Journal of Epidemiology,
                                                      Tanning: Findings From a Diary Study.’’                 Prevention Opportunity for                            38:814–830, 2009.
rmajette on DSK2TPTVN1PROD with PROPOSALS




                                                      Translational Behavioral Medicine,                      Pediatricians.’’ Pediatrics, 131:772–785,        41. Knight, J.M., A.N. Kirincich, E.R. Farmer,
                                                      3(10):10–16, 2013.                                      2013.                                                 et al., ‘‘Awareness of the Risks of
                                                 11. Cokkinides, V., M. Weinstock, D.                    27. Diffey, B., ‘‘Sunbeds, Beauty and                      Tanning Lamps Does Not Influence
                                                      Lazovich, et al., ‘‘Indoor Tanning Use                  Melanoma.’’ British Journal of                        Behavior Among College Students,’’
                                                      Among Adolescents in the U.S., 1998–                    Dermatology, 157(2): 215–216, 2007.                   Archives of Dermatology, 138:1311–
                                                      2004.’’ Cancer, 115:190–198, 2009.                 28. Herzog, C., A.S. Pappo, M.L. Bondy, et                 1315, 2002.
                                                 12. Wolff, K. L.A. Goldsmith, S.I. Katz, et al.,             al., ‘‘Malignant Melanoma.’’ In: A.              42. Poorsatter, S.P. and R.L. Hornung, ‘‘UV
                                                      Fitzpatrick’s Dermatology in General                    Bleyer, M. O’Leary and L.A.G. Ries                    Light Abuse and High-Risk Tanning
                                                      Medicine, 7th ed., p. 828, 2006.                        (Eds.), Cancer Epidemiology in Older                  Behavior Among Undergraduate College



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                                                                      Federal Register / Vol. 80, No. 245 / Tuesday, December 22, 2015 / Proposed Rules                                                79503

                                                      Students.’’ Journal of the American                     ncsl.org/issues-research/health/indoor-            Authority: 21 U.S.C. 351, 360, 360c, 360e,
                                                      Academy of Dermatology, 56:375–379,                     tanning-restrictions-for-minors.aspx.            360j, 360l, 371.
                                                      2007.                                              53. Centers for Disease Control and
                                                 43. Jerkegren, E., L. Sandrieser, Y. Brandberg,              Prevention (CDC), ‘‘Skin Cancer: Indoor          ■ 2. Section 878.4635 is amended as
                                                      et al., ‘‘Sun-Related Behaviour and                     Tanning.’’ Available at: http://www.cdc.         follows:
                                                      Melanoma Awareness Among Swedish                        gov/cancer/skin/basic_info/indoor_               ■ a. Redesignate paragraph (c) as
                                                      University Students.’’ European Journal                 tanning.htm.                                     paragraph (d);
                                                      of Cancer Prevention, 8:27–34, 1999.               54. Hirst, N., L. Gordon, P. Gies, et al.,            ■ b. Add new paragraph (c);
                                                 44. FDA, 2010 Meeting materials, including                   ‘‘Estimation of Avoidable Skin Cancers           ■ c. Revise the heading of newly
                                                      presentations, a meeting transcript, and                and Cost-Savings to Government
                                                                                                              Associated With Regulation of the
                                                                                                                                                               designated paragraph (d).
                                                      meeting summary. Available at: http://
                                                                                                              Solarium Industry in Australia.’’ Health           The revisions and additions read as
                                                      www.fda.gov/AdvisoryCommittees/
                                                      CommitteesMeetingMaterials/Medical                      Policy, 89(3):303–311, 2009.                     follows:
                                                      Devices/MedicalDevicesAdvisory                     55. Beasley, M.T. and B.S. Kittel, ‘‘Factors
                                                                                                              That Influence Health Risk Behaviors             § 878.4635 Sunlamp products and
                                                      Committee/GeneralandPlasticSurgery                                                                       ultraviolet lamps intended for use in
                                                      DevicesPanel/ucm205684.htm.                             Among Tanning Salon Patrons.’’
                                                                                                              Evaluation & the Health Professions,             sunlamp products.
                                                 45. IARC Working Group on Artificial
                                                      Ultraviolet Light (UV) and Skin Cancer:                 20(4):371–388, 1997.                             *      *    *      *     *
                                                      ‘‘The Association of Use of Sunbeds                56. Feldman, S.R., A. Liguori, M. Kucenic, et           (c) Restrictions on sale, distribution,
                                                      With Cutaneous Malignant Melanoma                       al., ‘‘Ultraviolet Exposure Is a                 and use of sunlamp products. (1) A
                                                      and Other Skin Cancers: A Systematic                    Reinforcing Stimulus in Frequent Indoor          tanning facility operator must not
                                                      Review.’’ International Journal of                      Tanners.’’ Journal of the American               permit the use of a sunlamp product
                                                      Cancer, 120:1116–1122, 2009.                            Academy of Dermatology, 51(1):45–51,
                                                                                                              July 2004.
                                                                                                                                                               unless the prospective user is at least 18
                                                 46. WHO, ‘‘The World Health Organization                                                                      years of age and has signed the risk
                                                      Recommends That No Person Under 18                 57. Schneider, S. and H. Krämer, ‘‘Who Uses
                                                                                                              Sunbeds? A Systematic Literature                 acknowledgement certification
                                                      Should Use a Sunbed.’’ Available at:                                                                     described in paragraph (c)(4) of this
                                                      http://www.who.int/mediacentre/news/                    Review of Risk Groups in Developed
                                                      notes/2005/np07/en/.                                    Countries.’’ Journal of the European             section.
                                                 47. AAD, ‘‘Dangers of Indoor Tanning.’’                      Academy of Dermatology and                         (2) A tanning facility operator must,
                                                      Available at: https://www.aad.org/                      Venereology, 24:639–648, 2010.                   upon request by a sunlamp product user
                                                                                                         58. http://www.fda.gov/AboutFDA/Reports               or prospective user, with respect to any
                                                      media-resources/stats-and-facts/
                                                                                                              ManualsForms/Reports/Economic                    sunlamp product that the operator
                                                      prevention-and-care/dangers-of-indoor-
                                                                                                              Analyses/default.htm.
                                                      tanning.
                                                                                                         59. Huntley-Fenner Advisors, ‘‘HFA Review
                                                                                                                                                               operates, provide a copy of the sunlamp
                                                 48. Skin Cancer Foundation, ‘‘American                                                                        product user manual or the name and
                                                                                                              of Risks of Indoor UV Tanning Devices
                                                      Academy of Pediatrics Calls for Ban on                                                                   address of the manufacturer or
                                                                                                              Form,’’ submitted to FDA, August 9,
                                                      Youth Tanning.’’ Available at: http://                                                                   distributor from whom a user manual
                                                                                                              2013.
                                                      www.skincancer.org/news/tanning/
                                                                                                         60. Heilig, L.F., R. D’Ambrosia, A.L. Drake,          may be obtained.
                                                      american-academy-of-pediatrics-calls-
                                                                                                              et al., ‘‘A Case for Informed Consent?             (3) In addition to assuring that a user
                                                      for-ban-on-youth-tanning.
                                                                                                              Indoor UV Tanning Facility Operator’s            manual accompanies each sunlamp
                                                 49. American Academy of Pediatrics, ‘‘Policy
                                                                                                              Provision of Health Risks Information            product, a 510(k) holder must provide,
                                                      Statement—Ultraviolet Radiation: A
                                                                                                              (United States).’’ Cancer Causes and
                                                      Hazard to Children and Adolescents.’’                                                                    upon request, a copy of the sunlamp
                                                                                                              Control, 16(5):557–560, 2005.
                                                      Pediatrics, 127(3):588–597, 2011.                                                                        product user manual to any tanning
                                                                                                         61. http://democrats.energycommerce.house.
                                                      Available at: http://pediatrics.                                                                         facility operator, sunlamp product user,
                                                                                                              gov/sites/default/files/documents/False-
                                                      aappublications.org/content/early/2011/                                                                  or prospective user with respect to any
                                                                                                              Health-Info-by-Indoor-Tanning-Industry-
                                                      02/28/peds.2010-3501.full.pdf+html.                                                                      sunlamp product it manufactures/
                                                                                                              2012-2-1.pdf.
                                                 50. Pawlak, M.T., M. Bui, M. Amir, et al.,
                                                      ‘‘Legislation Restricting Access to Indoor
                                                                                                                                                               manufactured or distributes/distributed.
                                                      Tanning Throughout the World.’’                    List of Subjects in 21 CFR Part 878                     (4) Risk acknowledgement
                                                      Archives of Dermatology, 148:1006–                   Medical devices.                                    certification. (i) The tanning facility
                                                      1012, 2012.                                                                                              operator must not permit the use of a
                                                                                                           Therefore, under the Federal Food,
                                                 51. Guy, G.P., Z. Berkowitz, S.E. Jones, et al.,                                                              sunlamp product unless it obtains each
                                                      ‘‘State Indoor Tanning Laws and
                                                                                                         Drug, and Cosmetic Act, and under
                                                                                                                                                               prospective user’s signature on a risk
                                                      Adolescent Indoor Tanning.’’ American              authority delegated to the Commissioner
                                                                                                                                                               acknowledgement certification that
                                                      Journal of Public Health, 104(4):e69–e74,          of Food and Drugs, it is proposed that
                                                                                                                                                               contains the following statement prior
                                                      2014.                                              21 CFR part 878 be amended as follows:
                                                                                                                                                               to use of the sunlamp product, unless
                                                 52. National Conference of State Legislatures,
                                                      ‘‘Indoor Tanning Restrictions for                  PART 878—GENERAL AND PLASTIC                          the prospective user has previously
                                                      Minors—A State-by-State Comparison.’’              SURGERY DEVICES                                       signed the risk acknowledgement
                                                      Washington, DC and Denver, CO:                                                                           certification within the preceding 6
                                                      National Conference of State                       ■ 1. The authority citation for part 878              months:
                                                      Legislatures. Available at: http://www.            continues to read as follows:                         BILLING CODE 4164–01–P
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79504   Federal Register/Vol. 80, No. 245 /Tuesday, December 22, 2015 /Proposed Rules

                                         RISKS OF INDOOR UV TANNING

          Food and Drug Administration (FDA) regulations require aB users to certify that they have
          read the information belowregarding both the dangers of exposure to ultraviciet {UY)
          radiation from indoor tanning devices and the proper use of these devices,

          «_   UV radiation from indoor tanning devices can cause:
               * Skin cancer, including melanoma, the type of skin cancer responsible for the most deaths
               *   Eye burns which can cause intense pain and negatively affect vision
               *   Sunburn (discombfort, pain, tenderness on the skin}
               *   Early skin aging, such as wrinkles and age spots

          <    You must not use this device if you are under 18 years of age.

          +    Do not use if you have skin that easily sunburns or does not tan. as you are unlikely to tan
               with these devices and you are at a higher risk for developing skin cancer.

          ——   Do not use if you have any rashes of open wounds.

          —    Do not use beyond the manufacturer‘s recommended exposure schedule to avoid burns and
               over exposure. The manufacturer‘s recommended exposure schedule can be found on the
               device.

          —    Please consult your doctor or pharmacist about any medicines that you are taking before
               using indoor UYtanning devices. Certain medicines (for example, tetracycline) or skin
               products (for example. some cosmetics) can increase your sensitivity to UV radiation.

          ——   Use appropriate protective evewear. Failure to do so may result in short—term and long—term
               injury to the eyes such as severe burns, cataracts, or eye cancer. Uinprotected exposure to the
               intense visible light from some indoor tanning devices can cause damage to your vision,
               which may be permanent.

          —    Consult your doctor if you or someone in your family has a history of skin cancer
               because UV tanning (whether indoors or outdoors) carries a higher risk for you.

          —    If you use indoor UV tanning devices and/or tan regularly outdoors, get regular skin cancer
               checkups from your doctor because you are more likely to develop skin cancer.

          ——   Even if you follow these safetyinstructions, you are still at risk for skin cancer if you use
               indoor UV tanning devices.

          —    Report any injfury, including burns, from the use of indoor UV tanning deviees to FDA. You
               should make this report as soon as possible after the impury. Instructions for reporting are
               available at ttps:/www.accessdata.fdagoviscnnts/medwatci‘ or call 1 —800—FDA—1088.

          1.                                  . an at least 18 years of age and have read, understood, and
          acknowledged the risks and proper use information stated above.


           Signature and Date:


                                                                      Federal Register / Vol. 80, No. 245 / Tuesday, December 22, 2015 / Proposed Rules                                          79505

                                                    (ii) The text of the risk                               • Federal eRulemaking Portal: http://              the claimed confidential information, in
                                                 acknowledgement certification shall be                  www.regulations.gov. Follow the                       its consideration of comments. The
                                                 at least 10-point font.                                 instructions for submitting comments.                 second copy, which will have the
                                                    (iii) The tanning facility operator shall            Comments submitted electronically,                    claimed confidential information
                                                 provide a copy of the signed                            including attachments, to http://                     redacted/blacked out, will be available
                                                 acknowledgement certification to the                    www.regulations.gov will be posted to                 for public viewing and posted on http://
                                                 prospective user and the tanning facility               the docket unchanged. Because your                    www.regulations.gov. Submit both
                                                 shall retain a copy of the signed risk                  comment will be made public, you are                  copies to the Division of Dockets
                                                 acknowledgement certification for 1                     solely responsible for ensuring that your             Management. If you do not wish your
                                                 year or until the prospective user signs                comment does not include any                          name and contact information to be
                                                 a new risk acknowledgement                              confidential information that you or a                made publicly available, you can
                                                 certification, whichever is earlier.                    third party may not wish to be posted,                provide this information on the cover
                                                    (d) Electronic product performance                   such as medical information, your or                  sheet and not in the body of your
                                                 standard. * * *                                         anyone else’s Social Security number, or              comments and you must identify this
                                                   Dated: December 16, 2015.                             confidential business information, such               information as ‘‘confidential.’’ Any
                                                 Leslie Kux,                                             as a manufacturing process. Please note               information marked as ‘‘confidential’’
                                                 Associate Commissioner for Policy.                      that if you include your name, contact                will not be disclosed except in
                                                 [FR Doc. 2015–32024 Filed 12–18–15; 8:45 am]            information, or other information that                accordance with 21 CFR 10.20 and other
                                                 BILLING CODE 4164–01–C
                                                                                                         identifies you in the body of your                    applicable disclosure law. For more
                                                                                                         comments, that information will be                    information about FDA’s posting of
                                                                                                         posted on http://www.regulations.gov.                 comments to public dockets, see 80 FR
                                                 DEPARTMENT OF HEALTH AND                                   • If you want to submit a comment                  56469, September 18, 2015, or access
                                                 HUMAN SERVICES                                          with confidential information that you                the information at: http://www.fda.gov/
                                                                                                         do not wish to be made available to the               regulatoryinformation/dockets/
                                                 Food and Drug Administration                            public, submit the comment as a                       default.htm.
                                                                                                         written/paper submission and in the                      Docket: For access to the docket to
                                                 21 CFR Parts 1002 and 1040                              manner detailed (see ‘‘Written/Paper                  read background documents or the
                                                                                                         Submissions’’ and ‘‘Instructions’’).                  electronic and written/paper comments
                                                 [Docket No. FDA–1998–N–0880 (Formerly
                                                 1998N–1170)]                                            Written/Paper Submissions                             received, go to http://
                                                                                                                                                               www.regulations.gov and insert the
                                                 RIN 0910–AG30                                              Submit written/paper submissions as
                                                                                                                                                               docket number, found in brackets in the
                                                                                                         follows:
                                                                                                            • Mail/Hand delivery/Courier (for                  heading of this document, into the
                                                 Sunlamp Products; Proposed                                                                                    ‘‘Search’’ box and follow the prompts
                                                 Amendment to Performance Standard                       written/paper submissions): Division of
                                                                                                         Dockets Management (HFA–305), Food                    and/or go to the Division of Dockets
                                                 AGENCY:    Food and Drug Administration,                and Drug Administration, 5630 Fishers                 Management, 5630 Fishers Lane, Rm.
                                                 HHS.                                                    Lane, Rm. 1061, Rockville, MD 20852.                  1061, Rockville, MD 20852.
                                                                                                                                                                  Submit comments on information
                                                 ACTION:   Proposed rule.                                   • For written/paper comments
                                                                                                                                                               collection issues to the Office of
                                                                                                         submitted to the Division of Dockets
                                                 SUMMARY:   The Food and Drug                                                                                  Management and Budget (OMB) in the
                                                                                                         Management, FDA will post your
                                                 Administration (FDA or Agency) is                                                                             following ways:
                                                                                                         comment, as well as any attachments,                     • Fax to the Office of Information and
                                                 proposing to amend the performance
                                                                                                         except for information submitted,                     Regulatory Affairs, OMB, Attn: FDA
                                                 standard for sunlamp products and
                                                                                                         marked and identified, as confidential,               Desk Officer, FAX: 202–395–7285, or
                                                 ultraviolet (UV) lamps intended for use
                                                                                                         if submitted as detailed in                           email to oira_submission@omb.eop.gov.
                                                 in these products. This standard was
                                                                                                         ‘‘Instructions.’’                                     All comments should be identified with
                                                 last amended in 1985. The current
                                                                                                            Instructions: All submissions received
                                                 amendments seek to improve consumer                                                                           the title, ‘‘Sunlamp Products; Proposed
                                                                                                         must include the Docket No. FDA–
                                                 safety by requiring more effective                                                                            Amendment to Performance Standard.’’
                                                                                                         1998–N–0880 for ‘‘Sunlamp Products;
                                                 communication regarding the risks                                                                             FOR FURTHER INFORMATION CONTACT:
                                                                                                         Proposed Amendment to Performance
                                                 posed by these products. They also                                                                            Sharon Miller, Center for Devices and
                                                                                                         Standard.’’ Received comments will be
                                                 would reduce risks to consumers by                                                                            Radiological Health, Food and Drug
                                                                                                         placed in the docket and, except for
                                                 updating technical requirements to                                                                            Administration, 10903 New Hampshire
                                                                                                         those submitted as ‘‘Confidential
                                                 reflect current science, and by adopting                                                                      Ave., Bldg. 66, Rm. 4234, Silver Spring,
                                                                                                         Submissions,’’ publicly viewable at
                                                 and incorporating by reference certain                                                                        MD 20993–0002, 301–796–2471.
                                                                                                         http://www.regulations.gov or at the
                                                 elements from the International                                                                               SUPPLEMENTARY INFORMATION:
                                                                                                         Division of Dockets Management
                                                 Electrotechnical Commission (IEC)
                                                                                                         between 9 a.m. and 4 p.m., Monday                     Executive Summary
                                                 International Standard 60335–2–27, Ed.
                                                                                                         through Friday.
                                                 5.0: 2009–12.                                                                                                 Purpose of the Regulatory Action
                                                                                                            • Confidential Submissions—To
                                                 DATES: Submit either electronic or                      submit a comment with confidential                       The Safe Medical Devices Act of 1990
                                                 written comments on the proposed rule                   information that you do not wish to be                (Pub. L. 101–629), enacted on November
                                                 by March 21, 2016. Submit comments                      made publicly available, submit your                  28, 1990, transferred the provisions of
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                                                 on information collection issues under                  comments only as a written/paper                      the Radiation Control for Health and
                                                 the Paperwork Reduction Act of 1995 by                  submission. You should submit two                     Safety Act of 1968 (Pub. L. 90–602) from
                                                 January 21, 2016.                                       copies total. One copy will include the               Title III of the Public Health Service Act
                                                 ADDRESSES: You may submit comments                      information you claim to be confidential              to Chapter V, subchapter C of the
                                                 as follows:                                             with a heading or cover note that states              Federal Food, Drug, and Cosmetic Act
                                                 Electronic Submissions                                  ‘‘THIS DOCUMENT CONTAINS                              (the FD&C Act) (21 U.S.C. 360hh et
                                                   Submit electronic comments in the                     CONFIDENTIAL INFORMATION.’’ The                       seq.). Under these provisions, FDA
                                                 following way:                                          Agency will review this copy, including               administers an electronic product


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Document Created: 2015-12-22 02:31:50
Document Modified: 2015-12-22 02:31:50
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule.
DatesSubmit either electronic or written comments on the proposed rule by March 21, 2016. Submit comments on information collection issues under the Paperwork Reduction Act of 1995 by February 22, 2016. See Section VIII for the proposed effective date of a final rule based on this proposed rule.
ContactNeil R.P. Ogden, Center for Devices and Radiological Health, Food and Drug Administration, 10903 New Hampshire Ave., Bldg. 66, Rm. 1438, Silver Spring, MD 20993-0002, 301- 796-6397.
FR Citation80 FR 79493 
RIN Number0910-AH14

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