81_FR_91965 81 FR 91722 - Banned Devices; Powdered Surgeon's Gloves, Powdered Patient Examination Gloves, and Absorbable Powder for Lubricating a Surgeon's Glove

81 FR 91722 - Banned Devices; Powdered Surgeon's Gloves, Powdered Patient Examination Gloves, and Absorbable Powder for Lubricating a Surgeon's Glove

DEPARTMENT OF HEALTH AND HUMAN SERVICES
Food and Drug Administration

Federal Register Volume 81, Issue 243 (December 19, 2016)

Page Range91722-91731
FR Document2016-30382

The Food and Drug Administration (FDA or Agency) has determined that Powdered Surgeon's Gloves, Powdered Patient Examination Gloves, and Absorbable Powder for Lubricating a Surgeon's Glove present an unreasonable and substantial risk of illness or injury and that the risk cannot be corrected or eliminated by labeling or a change in labeling. Consequently, FDA is banning these devices.

Federal Register, Volume 81 Issue 243 (Monday, December 19, 2016)
[Federal Register Volume 81, Number 243 (Monday, December 19, 2016)]
[Rules and Regulations]
[Pages 91722-91731]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-30382]


-----------------------------------------------------------------------

DEPARTMENT OF HEALTH AND HUMAN SERVICES

Food and Drug Administration

21 CFR Parts 878, 880, and 895

[Docket No. FDA-2015-N-5017]
RIN 0910-AH02


Banned Devices; Powdered Surgeon's Gloves, Powdered Patient 
Examination Gloves, and Absorbable Powder for Lubricating a Surgeon's 
Glove

AGENCY: Food and Drug Administration, HHS.

ACTION: Final rule.

-----------------------------------------------------------------------

SUMMARY: The Food and Drug Administration (FDA or Agency) has 
determined that Powdered Surgeon's Gloves, Powdered Patient Examination 
Gloves, and Absorbable Powder for Lubricating a Surgeon's Glove present 
an unreasonable and substantial risk of illness or injury and that the 
risk cannot be corrected or eliminated by labeling or a change in 
labeling. Consequently, FDA is banning these devices.

DATES: This rule is effective on January 18, 2017.

ADDRESSES: For access to the docket to read background documents or 
comments received, go to https://www.regulations.gov and insert the 
docket number found in brackets in the

[[Page 91723]]

heading of this final rule 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.

FOR FURTHER INFORMATION CONTACT: Michael J. Ryan, Center for Devices 
and Radiological Health, Food and Drug Administration, 10903 New 
Hampshire Ave., Bldg. 66, Rm. 1615, Silver Spring, MD 20993, 301-796-
6283, email: [email protected].

SUPPLEMENTARY INFORMATION: 

Table of Contents

I. Executive Summary
    A. Purpose and Coverage of the Final Rule
    B. Summary of the Major Provisions of the Final Rule
    C. Legal Authority
    D. Costs and Benefits
II. Background
    A. Need for the Regulation/History of This Rulemaking
    B. Summary of Comments to the Proposed Rule
    C. General Overview of Final Rule
    D. Clarifying Changes to the Rule
III. Legal Authority
IV. Comments on the Proposed Rule and FDA's Responses
    A. Introduction
    B. Description of General Comments and FDA Response
    C. Description of Comments That Oppose the Regulation and FDA 
Response
    D. Description of Comments on Scope of Ban and FDA Response
    E. Description of Other Specific Comments and FDA Response
V. Effective Date
VI. Economic Analysis of Impacts
    A. Introduction
    B. Summary of Costs and Benefits
VII. Analysis of Environmental Impact
VIII. Paperwork Reduction Act of 1995
IX. Federalism
X. References

I. Executive Summary

A. Purpose and Coverage of the Final Rule

    Medical gloves play a significant role in the protection of both 
patients and health care personnel in the United States. Health care 
personnel rely on medical gloves as barriers against transmission of 
infectious diseases and contaminants when conducting surgery, as well 
as when conducting more limited interactions with patients. Various 
types of powder have been used to lubricate gloves so that wearers 
could don the gloves more easily. However, the use of powder on medical 
gloves presents numerous risks to patients and health care workers, 
including inflammation, granulomas, and respiratory allergic reactions.
    A thorough review of all currently available information supports 
FDA's conclusion that powdered surgeon's gloves, powdered patient 
examination gloves, and absorbable powder for lubricating a surgeon's 
glove should be banned. FDA has concluded that the risks posed by 
powdered gloves, including health care worker and patient sensitization 
to natural rubber latex (NRL) allergens, surgical complications related 
to peritoneal adhesions, and other adverse health events not 
necessarily related to surgery, such as inflammatory responses to glove 
powder, are important, material, and significant in relation to the 
benefit to public health from their continued marketing. FDA has 
carefully evaluated the risks and benefits of powdered gloves and the 
risks and benefits of the state of the art, which includes viable non-
powdered alternatives that do not carry any of the risks associated 
with glove powder, and has determined that the risk of illness or 
injury posed by powdered gloves is unreasonable and substantial. 
Further, FDA believes that this ban would likely have minimal economic 
and shortage impact on the health care industry. Thus, a transition to 
alternatives in the marketplace should not result in any detriment to 
public health.
    This rule applies to powdered patient examination gloves, powdered 
surgeon's gloves, and absorbable powder for lubricating a surgeon's 
glove. This includes all powdered medical gloves except powdered 
radiographic protection gloves. Because we are not aware of any 
powdered radiographic protection gloves that are currently on the 
market, FDA lacks the evidence to determine whether the banning 
standard would be met for this particular device. The ban does not 
apply to powder used in the manufacturing process (e.g., former-release 
powder) of non-powdered gloves, where that powder is not intended to be 
part of the final finished glove. Finished non-powdered gloves are 
expected to include no more than trace amounts of residual powder from 
these processes, and the Agency encourages manufacturers to ensure 
finished non-powdered gloves have as little powder as possible. In our 
2008 Medical Glove Guidance Manual (Ref. 1), we recommended that non-
powdered gloves have no more than 2 milligrams (mg) of residual powder 
and debris per glove, as determined by the Association for Testing and 
Materials (ASTM) D6124 test method (Ref. 2). The Agency continues to 
believe this amount is an appropriate maximum level of residual powder. 
The ban also does not apply to powder intended for use in or on other 
medical devices, such as condoms. FDA has not seen evidence that powder 
intended for use in or on other medical devices, such as condoms, 
presents the same public health risks as that on powdered medical 
gloves.

B. Summary of the Major Provisions of the Final Rule

    In this final rule, FDA is banning the following devices: (1) 
Powdered surgeon's gloves, (2) powdered patient examination gloves, and 
(3) absorbable powder for lubricating a surgeon's glove. Because the 
classification regulations for these device types do not distinguish 
between powdered and non-powdered versions, FDA is amending the 
descriptions of these devices in the regulations to specify that the 
regulations for patient examination and surgeon's gloves will apply 
only to non-powdered gloves while the powdered version of each type of 
glove will be added to the listing of banned devices in the 
regulations.
    Many comments requested that FDA revise the scope of the ban to 
include all NRL gloves. Many comments from industry requested that the 
proposed effective date be extended beyond 30 days after the date of 
publication of the final rule. Of the comments that do not support the 
ban, commenters noted the need for powdered gloves to aid in donning 
gloves and tactile sense and the reduced risks associated with current 
powdered gloves that have less powder. The remaining comments are not 
clearly in support or opposition to the proposal.

C. Legal Authority

    Powdered surgeon's gloves, powdered patient examination gloves, and 
absorbable powder for lubricating a surgeon's glove are defined as 
devices under section 201(h) of the Federal Food, Drug, and Cosmetic 
Act (the FD&C Act) (21 U.S.C. 321(h)). Section 516 of the FD&C Act (21 
U.S.C. 360f) authorizes FDA to ban a device if it finds, on the basis 
of all available data and information, that the device presents 
substantial deception or unreasonable and substantial risks of illness 
or injury, which cannot be corrected by labeling or a change in 
labeling. This rule amends 21 CFR 878.4460, 878.4480, 880.6250, 
895.102, 895.103, and 895.104. FDA's legal authority to modify 
Sec. Sec.  878.4460, 878.4480, 880.6250, 895.102, 895.103, and 895.104 
arises from the device and general administrative provisions of the 
FD&C Act (21 U.S.C. 352, 360f, 360h, 360i, and 371).

[[Page 91724]]

D. Costs and Benefits

    The final rule is expected to provide a positive net benefit 
(estimated benefits minus estimated costs) to society. Banning powdered 
glove products is not expected to impose any costs to society, but is 
expected to reduce the number of adverse events associated with using 
powdered gloves. The primary public health benefit from adoption of the 
rule would be the value of the reduction in adverse events associated 
with using powdered gloves. The Agency estimates maximum total annual 
net benefits to range between $26.8 million and $31.8 million.

II. Background

A. Need for the Regulation/History of the Rulemaking

    On March 22, 2016, FDA issued a proposed rule to ban powdered 
surgeon's gloves, powdered patient examination gloves, and absorbable 
powder for lubricating a surgeon's glove (81 FR 15173). Section 
516(a)(1) of the FD&C Act authorizes FDA to ban a device intended for 
human use by regulation if it finds, on the basis of all available data 
and information, that such a device ``presents substantial deception or 
an unreasonable and substantial risk of illness or injury.'' For a more 
detailed discussion of the banning standard, we refer you to the 
preamble of the proposed rule. FDA issued the proposed regulation 
because it determined that powdered surgeon's gloves, powdered patient 
examination gloves, and absorbable powder for lubricating a surgeon's 
glove present an unreasonable and substantial risk of illness or injury 
and that the risk cannot be corrected or eliminated by labeling or a 
change in labeling.
    The preamble to the proposed rule describes the history of powdered 
gloves and the citizen petitions received by the Agency that request a 
ban on powdered gloves. We refer readers to that preamble for 
information about the development of the proposed rule. The level and 
types of risk presented by powdered gloves varies depending on the 
composition and intended use of the glove. In aggregate, the risks of 
powdered gloves include severe airway inflammation, hypersensitivity 
reactions, allergic reactions (including asthma), allergic rhinitis, 
conjunctivitis, dyspnea, as well as granuloma and adhesion formation 
when exposed to internal tissue. We refer readers to the preamble of 
the proposed rule for details on the level and types of risks presented 
by powdered gloves. The benefits of powdered gloves appear to only 
include greater ease of donning and doffing, decreased tackiness, and a 
degree of added comfort, which FDA believes are nominal when compared 
to the risks posed by these devices.
    The state of the art of both surgeon's and patient examination 
gloves includes non-powdered alternatives that provide similar 
performance as the various powdered glove types do. That is, there are 
many non-powdered gloves available that have the same level of 
protection, dexterity, and performance. Thus, based on a careful 
evaluation of the risks and benefits of powdered gloves and the risks 
and benefits of the current state of the art, which includes readily 
available alternatives that carry none of the risks posed by powdered 
gloves, FDA has determined that the standard to ban powdered gloves has 
been met, and that it is appropriate to issue this ban.
    Finally, as discussed in the proposed rule, FDA also determined the 
ban should apply to devices already in commercial distribution and 
devices already sold to the ultimate user, as well as to devices that 
would be sold or distributed in the future (see 21 CFR 895.21(d)(7)). 
This means that powdered gloves currently being used in the marketplace 
would be subject to this ban and adulterated under section 501(g) of 
the FD&C Act (21 U.S.C. 351(g)), and thus subject to enforcement 
action.

B. Summary of Comments to the Proposed Rule

    The Agency requested public comments on the proposed rule, and the 
comment period closed on June 20, 2016. The Agency received 
approximately 100 comment letters on the proposed rule by the close of 
the comment period, each containing one or more comments on one or more 
issues. We received comments from a cross-section of patients and 
consumers, medical professionals, device manufacturers, and 
professional and trade associations. A majority of the comments 
supported the objectives of the rule in whole or in part, while a 
minority of the comments opposed the objectives of the rule. Some 
comments suggested changes to specific elements of the proposed rule or 
requested clarification of matters discussed in the proposed rule. See 
Section IV for the description of comments on the proposed rule and 
FDA's responses.

C. General Overview of the Final Rule

    FDA published a proposed rule to ban powdered surgeon's gloves, 
powdered patient examination gloves, and absorbable powder for 
lubricating a surgeon's glove, because FDA determined that these 
devices present an unreasonable and substantial risk of illness or 
injury and that the risk cannot be corrected or eliminated by labeling 
or a change in labeling (81 FR 15173).
    In this final rule, FDA is banning the following devices: (1) 
Powdered surgeon's gloves (21 CFR 878.4460), (2) powdered patient 
examination gloves (21 CFR 880.6250), and (3) absorbable powder for 
lubricating a surgeon's glove (21 CFR 878.4480). Because the 
classification regulations for these device types do not distinguish 
between powdered and non-powdered versions, FDA is amending the 
descriptions of these devices in the regulations to specify that the 
regulations for surgeon's gloves (21 CFR 878.4460) and patient 
examination gloves (21 CFR 880.6250) will apply only to non-powdered 
gloves while the powdered version of each type of glove will be added 
to 21 CFR part 895, subpart B--Listing of Banned Devices.

D. Clarifying Changes to the Rule

    While FDA believes that the preamble to the proposed rule was clear 
that the proposed ban would apply to all powdered surgeon's gloves and 
all powdered patient examination gloves, in reviewing the terminology 
used in the proposed additions to 21 CFR part 895, FDA determined that 
term ``synthetic latex'' would not cover every type of non-NRL material 
that is used to manufacture powdered gloves. It was not FDA's intent to 
limit the ban to only powdered NRL and powdered synthetic latex gloves, 
and we believe that this intent was clear from the content of the 
preamble to the proposed rule, which stated that the ban ``would apply 
to all powdered gloves except powdered radiographic protection 
gloves.'' As such, FDA has now revised the identification in this final 
rule to clarify that the ban applies to all powdered surgeon's gloves 
and powdered patient examination gloves without reference to the type 
of material from which they are made. Additionally, the identification 
of non-powdered surgeon's gloves and non-powdered patient examination 
gloves is also being revised to remove reference to material.

III. Legal Authority

    Powdered surgeon's gloves, powdered patient examination gloves, and 
absorbable powder for lubricating a surgeon's glove are defined as 
medical devices under section 201(h) of the FD&C Act (21 U.S.C. 321). 
Section 516 of the FD&C Act (21 U.S.C. 360f) authorizes FDA to ban a 
device if it finds, on the basis of all available data and information, 
that the device

[[Page 91725]]

presents substantial deception or unreasonable and substantial risks of 
illness or injury, which cannot be corrected by labeling or a change in 
labeling. This rule amends Sec. Sec.  878.4460, 878.4480, 880.6250, 
895.102, 895.103, and 895.104. FDA's legal authority to modify 
Sec. Sec.  878.4460, 878.4480, 880.6250, 895.102, 895.103, and 895.104 
arises from the device and general administrative provisions of the 
FD&C Act (21 U.S.C. 352, 360f, 360h, 360i, and 371).

IV. Comments on the Proposed Rule and FDA's Responses

A. Introduction

    We received approximately 100 comment letters on the proposed rule 
by the close of the comment period, each containing one or more 
comments on one or more issues. We received comments from a cross-
section of patients and consumers, medical professionals, device 
manufacturers, and professional and trade associations. A majority of 
the comments supported the objectives of the rule in whole or in part, 
while a minority of the comments opposed the objectives of the rule. 
Some comments suggested changes to specific elements of the proposed 
rule or requested clarification of matters discussed in the proposed 
rule.
    We describe and respond to the comments in section IV.B through E. 
We have numbered each comment to help distinguish between different 
comments. We have grouped similar comments together under the same 
number, and, in some cases, we have separated different issues 
discussed in the same comment and designated them as distinct comments 
for purposes of our responses. The number assigned to each comment or 
comment topic is purely for organizational purposes and does not 
signify the comment's value or importance or the order in which 
comments were received.

B. Description of General Comments and FDA Response

    Many comments made general remarks supporting or opposing the 
proposed rule without focusing on a particular proposed provision. In 
the following paragraphs, we discuss and respond to such general 
comments.
    (Comment 1) Many comments support the proposed ban on powdered 
patient examination gloves and powdered surgeon's gloves. These 
comments from individual consumers, health care professionals, 
academia, and industry highlight several risks of the continued use of 
powdered gloves, including, among others, allergic reactions, post-
operative adhesions, and delayed wound healing.
    (Response 1) FDA agrees with these comments. After further review 
of all available information and the comments submitted to the proposed 
rule, FDA has concluded that the public's exposure to the risks of 
powdered gloves is unreasonable and substantial in relation to the 
nominal public health benefit derived from the continued marketing of 
these devices, especially when considering the benefits and risks posed 
by readily available alternative devices. Therefore, FDA has determined 
that the standard for a ban on these devices has been met.

C. Description of Comments That Oppose the Regulation and FDA Response

    FDA received some comments that oppose the proposed ban on powdered 
patient examination gloves and powdered surgeon's gloves for various 
reasons. We address each of these reasons for opposition in this 
section. After reviewing these comments, FDA has determined that the 
standard to ban powdered gloves has been met, and that it is 
appropriate to issue this ban. We are finalizing the ban with only 
clarifying changes.
    (Comment 2) Comments oppose the proposed ban on powdered patient 
examination gloves and powdered surgeon's gloves because of difficulty 
donning or doffing non-powdered gloves. Two commenters specifically 
discuss hyperhidrosis with claims that it can add to the difficulty 
donning and doffing non-powdered gloves. One commenter has asserted 
that double-gloving is more difficult when using non-powdered gloves.
    (Response 2) As described in the preamble of the proposed rule, we 
have concluded that the benefit of ease of donning or doffing powdered 
gloves is generally nominal (Ref. 3) in comparison to the risks posed 
by the continued marketing of powdered gloves, which, among others, 
include severe airway inflammation, hypersensitivity reactions, and 
allergic reactions (including asthma). Also, as noted in the proposed 
rule, a study of various brands of powdered and non-powdered NRL gloves 
by Cote et al. found that there are non-powdered latex gloves that are 
easily donned with wet or dry hands with relatively low force compared 
to the forces required to don powdered latex examination gloves (Ref. 
3). Thus, FDA has considered ease of donning and doffing as a benefit 
as it applies within the banning standard, and has determined that the 
standard is met.
    (Comment 3) Comments oppose the proposed ban on powdered patient 
examination gloves and powdered surgeon's gloves because of difficulty 
donning non-powdered gloves, leading to greater propensity of non-
powdered gloves to tear. Some of these comments express concern that 
the reduced ability to separate the opening of a non-powdered glove or 
the greater propensity of non-powdered gloves to tear could potentially 
lead to a higher degree of contamination and post-procedure infections.
    (Response 3) FDA disagrees with the assertion that non-powdered 
gloves have a higher propensity to tear and thus disagrees that use of 
non-powdered gloves presents a greater risk of contamination, post-
procedure infections, or exposure of the user to blood. FDA does not 
believe there is compelling evidence to support the assertion that non-
powdered gloves have a higher propensity to tear. Korniewicz, et al., 
determined that the presence of powder did not affect the durability of 
gloves or enhance glove donning (Ref. 4). Although Kerr, et al., 
identified a statistically significant difference in the durability of 
non-powdered vinyl gloves compared to powdered vinyl gloves, this 
difference may be attributed to glove type, manufacturer, and the 
fingernail length of users rather than the presence or absence of 
powder (Ref. 5). This study also found that vinyl gloves in general are 
less durable and have a greater propensity to tear compared to nitrile, 
neoprene, and latex gloves. Furthermore, as discussed in the response 
to comment 4, several studies have found that alternatives to non-
powdered NRL gloves, such as nitrile and neoprene gloves, offer the 
same level of protection against contamination and exposure to blood as 
powdered NRL gloves (Refs. 5, 6, 7, 8, 9, and 10). Therefore, FDA has 
determined that suitable alternatives to powdered gloves are readily 
available in the marketplace.
    (Comment 4) Commenters oppose the proposed ban on powdered patient 
examination gloves and powdered surgeon's gloves because the fit of 
powdered gloves is more comfortable than non-powdered gloves. Some of 
these comments assert that the reduced fit of non-powdered gloves 
inhibits the tactile sensation necessary to perform medical procedures.
    (Response 4) FDA disagrees with the assertion that non-powdered 
gloves inhibit the tactile sensation necessary to perform medical 
procedures. The ban does not include non-powdered NRL gloves, which 
offer the same

[[Page 91726]]

performance characteristics of powdered NRL gloves, and several studies 
have found that alternatives, such as nitrile and neoprene gloves, 
offer the same level of protection, dexterity, and performance as NRL 
gloves (Refs. 5, 6, 7, 8, 9, and 10). Furthermore, the numerous risks 
posed by the continued marketing of powdered gloves outweigh the 
benefit of whatever additional level of comfort is provided from using 
powdered gloves instead of the non-powdered alternatives that carry 
none of these risks.
    (Comment 5) Some comments oppose the proposed ban on powdered 
patient examination gloves and powdered surgeon's gloves, citing a lack 
of scientific evidence that gloves with reduced powder content, as 
those in use today, have the same risks as previously used gloves that 
had higher powder content.
    (Response 5) FDA agrees that the maximum residual level of powder 
on powdered gloves is less than earlier types of powdered gloves. 
Historically, powdered medical gloves contained powder levels ranging 
from 50 to over 400 mg of powder per glove. Effective in 2002, the ASTM 
International recommended limits on powder levels is 15 mg per square 
decimeter for surgical gloves (ASTM D3577-2001) (Ref. 11) and 10 mg per 
square decimeter for patient examination gloves (ASTM D3578) (Ref. 12). 
As a result, FDA believes that gloves in use after 2002 follow these 
recommended limits and generally have lower powder content than earlier 
types of powdered gloves. Even so, several studies indicate that gloves 
with reduced powder levels continue to present unreasonable and 
substantial risks to patients and health care workers. For instance, a 
study conducted on the incidence of skin reactions for Greek 
endodontists from 2006 to 2012 found that glove powder accounted for 
the majority of skin reactions, and the replacement of powdered NRL 
gloves with non-powdered gloves resolved the majority of the adverse 
reactions (Ref. 13). Similarly, the risks of powdered gloves persist in 
non-clinical studies using gloves with reduced powder content, as 
demonstrated by the 2013 finding that surgeries performed with powdered 
gloves increased the number, density, and fibrotic properties of 
peritoneal adhesions in rats compared with surgeries performed with 
non-powdered gloves (Ref. 14). Also, the reduction in cases of NRL-
induced occupational contact urticaria coincided with French hospitals 
transitioning to non-powdered gloves after 2004-2005 (Ref. 13). 
Finally, FDA is not aware of any report in the literature that supports 
the assertion that currently marketed powdered gloves with lower powder 
content reduce the risks presented by powdered gloves (Ref. 15). In 
summary, FDA concludes that the risks of powder continue to be 
unreasonable and substantial for currently marketed powdered gloves 
despite lower powder content than previous generations of powdered 
gloves.
    (Comment 6) Two comments oppose the proposed ban on powdered 
patient examination gloves and powdered surgeon's gloves, because the 
commenters believe a warning on the risks of powdered gloves is 
sufficient to mitigate the risks posed by these devices.
    (Response 6) As described in Section IV of the proposed rule, FDA 
has determined that no change in labeling could correct the risk of 
illness or injury presented by the continued use of these devices. 
Powdered gloves have additional or increased risks to health compared 
to non-powdered gloves related to the spread of powder, and the fact 
that powder-transported contaminants such as NRL allergens can become 
aerosolized. Exposure to powder or latex allergens presents significant 
risks to health care workers and patients when inhaled or when exposed 
to internal tissue during oral, vaginal, gynecological, and rectal 
exams. Although labeling can raise awareness of these risks, we 
conclude that labeling cannot effectively mitigate these risks because 
it cannot prohibit the spread of glove powder or powder-transported 
contaminants. In addition, an important aspect of these devices is 
their ability to affect persons other than the individual who decides 
to wear or use them. For example, patients often do not know the type 
of gloves being worn by the health care professional treating them, but 
are still exposed to the potential dangers. Similarly, glove powder's 
ability to aerosolize and carry NRL proteins exposes individuals to 
harm via inhalation or surface contact. Thus, some of the risks posed 
by glove powder can impact persons completely unaware or unassociated 
with its employment and without the opportunity to consider the 
devices' labeling. Because of this inherent quality, adequate 
directions for use or warnings cannot be written that would provide 
reasonable assurance of the safe and effective use of these devices for 
all persons that might come in contact with them.
    Due to the ability of powder to affect people who would not have an 
opportunity to read warning labels, and because potential warning 
labels would raise awareness of the risks, but would not eliminate the 
risks posed by glove powder, FDA has determined no label or warning can 
correct the risks posed by these devices.
    (Comment 7) One comment opposes the proposed ban on powdered 
patient examination gloves and powdered surgeon's gloves, because the 
solvent used to remove powder during the manufacture of non-powdered 
gloves may cause adverse reactions to the glove user.
    (Response 7) FDA is not aware of any report in the literature that 
supports the assertion of widespread adverse reactions to solvent used 
in the manufacturing process. Non-powdered patient examination and 
surgeon's gloves require premarket notification (510(k)) submissions 
prior to marketing. During the review of these submissions, FDA 
evaluates the final finished glove, including manufacturing solvents 
that are present on the final glove. FDA recommends that manufacturers 
conduct and submit skin irritation and dermal sensitization studies in 
these submissions to evaluate potential issues with components, 
including manufacturing solvents (Ref. 1). Although individual 
hypersensitivity reactions to different materials may occur, FDA has 
been unable to find evidence in the literature of hypersensitivity to 
typical glove manufacturing materials other than glove powder or NRL. 
However, Palosuo, et al., reports that the use of hand sanitizers 
containing isopropyl alcohol prior to donning gloves could cause 
dermatitis reaction if the gloves are donned before the alcohol dries 
(Ref. 16). The occurrence of this reaction is unrelated to the 
manufacture of non-powdered gloves and unrelated to the use of non-
powdered gloves as an alternative to powdered gloves. Given the lack of 
evidence of adverse reactions to solvents used in the manufacturing of 
non-powdered gloves, and the established evidence demonstrating the 
risks of powdered glove use, FDA continues to believe that powdered 
gloves and glove powder meet the banning standard.
    (Comment 8) Several comments oppose the proposed ban on powdered 
patient examination gloves and powdered surgeon's gloves due to the 
expectation that users will ultimately have to pay more for medical 
gloves once the ban is finalized, because the cost of non-powdered 
gloves is currently higher than the cost of powdered gloves.
    (Response 8) We do not find any evidence to support the claims that

[[Page 91727]]

current prices of non-powdered gloves are significantly higher than 
powdered gloves. As we stated in the preliminary regulatory impact 
analysis (PRIA), extensive searches of glove distributor pricing 
indicate that non-powdered gloves have become as affordable as powdered 
gloves. Our searches also revealed that the market is saturated with 
alternatives to powdered gloves, resulting in downward pressure on the 
prices of non-powdered gloves. In addition, the share of powdered 
medical gloves sales has been declining since at least 2000 while total 
sales of all disposable medical gloves have increased (Ref. 17). We 
would not expect this trend to be occurring without regulatory action 
if users of disposable medical gloves faced significantly higher prices 
for switching to non-powdered gloves. We therefore do not find it 
necessary to update our analysis based on these comments.
    (Comment 9) We received one comment that disagrees with our 
determination that the availability of examination and surgical gloves 
would not be reduced.
    (Response 9) We do not find any evidence to support these claims. 
As we stated in the PRIA, research shows only 7 percent of total sales 
of examination and surgical gloves to medical workers were projected to 
be from powdered gloves in 2010 (Ref. 17). Global Industry Analysts 
(GIA) projected the share of powdered disposable medical gloves sales 
to decrease to 2 percent in 2015, while total sales of all disposable 
medical gloves continue to increase (Ref. 17). We would not expect this 
trend to be occurring without regulatory action if there were a 
reduction in the availability of disposable examination and surgical 
gloves. We therefore do not find it necessary to update our analysis 
based on these comments.
    (Comment 10) Commenters suggest there would be a loss in consumer 
utility due to the preference some medical workers may have for 
powdered gloves due to comfort and ease of use.
    (Response 10) We stated in the PRIA that the remaining 7 percent 
continuing to use these powdered gloves may experience utility loss 
from the removal of powdered gloves from the market (Ref. 17). The 
potential loss in consumer utility would be due to the perceived loss 
in comfort from powdered gloves users switching to non-powdered gloves. 
However, as the GIA report shows, there has been a downward trend in 
total sales of powdered gloves since at least the year 2000 while total 
sales of all disposable medical gloves has increased (Ref. 17). We 
would not expect this trend to be occurring without regulatory action 
if the loss in consumer utility to current medical workers were 
substantial. Korniewicz et al. reported no loss in consumer 
satisfaction in a sample of operating room staff switching to non-
powdered surgical gloves (Ref. 4). We have not estimated this potential 
burden, but the evidence described here suggests that any burden would 
not be substantial. Further, even having considered that some degree of 
consumer comfort may be lost by banning powdered gloves, FDA continues 
to believe that this benefit is considerably outweighed by the numerous 
risks posed by powdered gloves.
    (Comment 11) One comment opposes the proposed ban on powdered 
patient examination gloves and powdered surgeon's gloves, because the 
risks identified for powdered gloves are due to contaminants, such as 
pesticides and herbicides, in the powder that would not be present if 
the powder were manufactured in the United States.
    (Response 11) FDA disagrees with the assertion that contaminated 
powder is the source of the risks identified for powdered gloves. FDA's 
proposal to ban powdered gloves and glove powder is based on various 
studies on the risks of powdered gloves due to the properties of the 
powder itself. Powdered gloves have additional or increased risks to 
health compared to non-powdered gloves. For example, powder on NRL 
gloves can aerosolize latex allergens, resulting in sensitization to 
latex and allergic reactions. Latex sensitization and allergic 
reactions are unrelated to any potential presence of manufacturing 
contaminants, such as pesticides and herbicides. Additional risks of 
powdered gloves include severe airway inflammation, conjunctivitis, 
dyspnea, as well as granuloma and adhesion formation when exposed to 
internal tissue. FDA's assessment of the available literature and 
information indicates that these risks are attributable to the powder 
itself, as opposed to any potential presence of manufacturing 
contaminants, such as pesticides and herbicides.
    In addition, the powder used on powdered gloves is required to 
comply with FDA's Quality System regulation, which includes 
requirements for quality and inspection for the final finished gloves 
that protect against the introduction of contaminated devices into 
commerce. Among other requirements, device manufacturers must establish 
and maintain procedures to prevent contamination of equipment or 
product by substances that could reasonably be expected to have an 
adverse effect on product quality (21 CFR 820.70(e)). FDA's Quality 
System regulation applies to gloves and glove powder sold in the United 
States, regardless of the manufacturing location.

D. Description of Comments on Scope of Ban and FDA Response

    FDA received several comments requesting revision of the scope of 
the ban. The scope of the proposed ban includes powdered surgeon's 
gloves, powdered patient examination gloves, and absorbable powder for 
lubricating a surgeon's glove. The glove types include all powdered 
patient examination and surgeon's gloves, including NRL and synthetic 
latex gloves. In the following paragraphs, we discuss and respond to 
comments requesting revision of the scope of the ban. We are finalizing 
the ban without change to the scope, but clarifying that all powdered 
patient examination gloves and powder surgical gloves are banned, 
regardless of the material from which they are made.
    (Comment 12) Several comments identify risks that result from the 
use of powdered and non-powdered NRL gloves. These comments request FDA 
to extend the ban to all NRL gloves, both powdered and non-powdered.
    (Response 12) Unlike with powdered latex gloves, which have the 
ability to aerosolize glove powder and carry allergenic proteins, FDA 
believes the risk of allergic reaction to non-powdered NRL gloves, 
which affects the user and patients in direct contact with the glove, 
is adequately mitigated through already-required labeling that alerts 
users to this risk. NRL gloves must include a statement to alert users 
to the risk of allergic reactions caused by NRL (21 CFR 801.437). 
Further, several studies have indicated that the use of non-powdered 
NRL gloves reduces the risk of sensitization to allergenic NRL proteins 
and the number of allergic reactions experienced by those who are 
already sensitized (Refs. 18, 19, and 20). FDA believes that these 
study results, when considered alongside the risk mitigation that 
follows from FDA's required labeling for NRL products, demonstrates 
that non-powdered latex gloves can be safely used with appropriate 
caution for latex-sensitive patients and health care workers. 
Therefore, FDA has determined not to ban the use of all NRL gloves.
    (Comment 13) Several comments raise the issue of life threatening 
latex allergy events that result from various uses of NRL gloves 
including food preparation and food service. Several of these comments 
assert that the Agency should broaden the scope of the ban to cover all

[[Page 91728]]

NRL gloves for all uses including food preparation and food service.
    (Response 13) We have concluded that it is not appropriate to 
address a proposal to ban gloves used for food preparation because 
these gloves do not meet the definition of a device under section 
201(h) of the FD&C Act and are thus not subject to section 516 of the 
FD&C Act (21 U.S.C. 360f), which provides the statutory authority to 
ban devices within FDA's authority to regulate such products.
    (Comment 14) One comment asserts that the ban on powdered gloves 
should not apply to dental practice, because the risks are not 
applicable to dental practice.
    (Response 14) FDA disagrees with the assertion that the risks of 
powdered gloves are not applicable to dental practice. Dentists and 
dental patients face the same risks as other medical practices in terms 
of the potential for powder exposure to open cavities or open wounds, 
and for powder, if used with NRL gloves, to carry protein allergens. 
Several studies documenting the risks of powdered gloves in dental 
practices have been conducted, including Saary, et al., which 
identified that changing to low-protein and non-powdered NRL gloves 
reduced NRL allergy in dental students (Ref. 18). In addition, Charous 
et al., reported in 2000 that a dental office was able to reduce 
airborne NRL antigen levels to undetectable levels with the exclusive 
use of non-powdered NRL gloves, permitting a highly sensitized staff 
member to continue to work there (Ref. 21). These studies, among others 
(Refs. 13 and 22), indicate that the risks of powdered medical gloves 
apply to dental practice. Therefore, FDA has determined that the scope 
of the ban on powdered medical gloves should continue to include 
powdered gloves used in dental practice.

E. Description of Other Specific Comments and FDA Response

    Many comments made specific remarks requesting clarification or 
revision to the proposed rule. In the following paragraphs, we discuss 
and respond to such specific comments.
    (Comment 15) A number of comments request extension of the 
effective date of the ban. The proposed rule included a proposed 
effective date of 30 days after publication of the final rule for all 
devices, including those already in commercial distribution. The 
comments suggest a range of effective dates of 90 days to 18 months 
after publication of the final rule and assert that a longer transition 
period is necessary to allow existing inventory to flow through the 
supply chain to providers and patients.
    (Response 15) FDA is not extending the effective date of the ban 
for devices already in commercial distribution. We have concluded that 
powdered surgeon's gloves, powdered patient examination gloves, and 
absorbable powder for lubricating a surgeon's glove present an 
unreasonable and substantial risk of illness or injury and that the 
risk cannot be corrected or eliminated by labeling or a change in 
labeling. The continued marketing of these devices beyond the 30 day 
effective date would allow for the continued sale and purchase of 
devices that FDA has determined present an unreasonable and substantial 
risk to patients and health care workers. Therefore, FDA does not 
believe that it is in the best interest of the public health to extend 
the effective date for devices already in commercial distribution. In 
order to minimize the risk of continued exposure of health care workers 
and patients to these devices, the effective date for devices remains 
30 days after the date of publication of this final rule.
    (Comment 16) One comment requests that FDA not extend the effective 
date of the ban to allow companies to deplete their inventory of the 
devices.
    (Response 16) As described in the response to comment 15, FDA 
agrees that it is in the best interest of the public health to not 
extend the effective date of the ban for devices already in commercial 
distribution. Therefore, the effective date of the ban for devices 
already in commercial distribution remains at 30 days after the date of 
publication of the final rule.
    (Comment 17) A few comments request recommendations on the means of 
disposal or recycling of powdered gloves.
    (Response 17) FDA recommends that unused inventories of powdered 
medical gloves remaining at domestic manufacturing and distribution 
locations be disposed of in accordance with standard industry 
practices. Unused supplies at hospitals, outpatient centers, clinics, 
medical and dental offices, other service delivery points (nursing 
homes, etc.), and in the possession of end users, will need to be 
disposed of according to established procedures of the local 
community's solid waste management system. Established procedures for 
these materials typically involve disposal in landfills or 
incineration. FDA has concluded that this final rule will not have a 
significant impact on the human environment. (See Section VII. Analysis 
of Environmental Impact.)
    (Comment 18) One comment requests clarification on whether after 
the effective date of the ban the Agency will permit a manufacturer to 
export powdered medical gloves that are already physically located at 
distribution centers in the United States.
    (Response 18) After the effective date of this final rule, 
manufacturers will not be allowed to import powdered medical gloves. 
However, while powdered medical gloves will be banned in the United 
States on the effective date of this final rule, manufacturers may 
export existing inventory of powdered gloves to a foreign country if 
the device complies with the laws of that country and has valid 
marketing authorization by the appropriate authority, as described in 
section 802 of the FD&C Act (21 U.S.C. 382)). If eligible for export 
under section 802 of the FD&C Act, a device intended for export will 
not be deemed adulterated or misbranded if it
    (A) accords to the specifications of the foreign purchaser,
    (B) is not in conflict with the laws of the country to which it is 
intended for export,
    (C) is labeled on the outside of the shipping package that it is 
intended for export, and
    (D) is not sold or offered for sale in domestic commerce.

V. Effective Date

    This rule is effective January 18, 2017. The effective date of this 
rule applies to devices already in commercial distribution and those 
already sold to the ultimate user, as well as to devices that would be 
sold or distributed in the future. All powdered surgeon's gloves, 
powdered patient examination gloves, and absorbable powder for 
lubricating a surgeon's gloves must be removed from the market upon the 
effective date of this final rule. Section 501(g) of the FD&C Act (21 
U.S.C. 351(g)) deems a device to be adulterated if it is a banned 
device.

VI. Economic Analysis of Impacts

A. Introduction

    We have examined the impacts of the final 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 us 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,

[[Page 91729]]

and other advantages; distributive impacts; and equity). We have 
developed a comprehensive Economic Analysis of Impacts that assesses 
the impacts of the final rule. We believe that this final rule is not a 
significant regulatory action as defined by Executive Order 12866.
    The Regulatory Flexibility Act requires us to analyze regulatory 
options that would minimize any significant impact of a rule on small 
entities. Because this rule imposes no new burdens, we certify that the 
final rule will not have a significant economic impact on a substantial 
number of small entities.
    The Unfunded Mandates Reform Act of 1995 (section 202(a)) requires 
us to prepare a written statement, which includes an assessment of 
anticipated costs and benefits, before issuing ``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 $146 
million, using the most current (2015) Implicit Price Deflator for the 
Gross Domestic Product. This final rule would not result in an 
expenditure in any year that meets or exceeds this amount.

B. Summary of Costs and Benefits

    The final rule prohibits marketing of powdered surgeon's gloves, 
powdered patient examination gloves, and absorbable powder for 
lubricating surgeon's gloves. The rule does not cover or include 
powdered radiographic gloves.
    The final rule is expected to provide a positive net benefit 
(estimated benefits minus estimated costs) to society. Banning powdered 
glove products is not expected to impose any costs to society. 
Extensive searches of glove distributor pricing indicate that 
improvements to non-powdered gloves have made these products as 
affordable as powdered gloves. The ban is expected to reduce the 
adverse events associated with using powdered gloves. The Agency 
estimates maximum total annual net benefits to range between $26.8 
million and $31.8 million. The present discounted value of the 
estimated benefits over 10 years ranges from $228.9 million to $270.8 
million at a 3 percent discount rate and from $188.5 million to $223 
million at a 7 percent discount rate.
    FDA has examined the economic implications of the rule as required 
by the Regulatory Flexibility Act. If a rule will have a significant 
economic impact on a substantial number of small entities, the 
Regulatory Flexibility Act requires us to analyze regulatory options 
that would lessen the economic effect of the rule on small entities. 
This rule will not impose any new burdens on small entities, and thus 
will not impose a significant economic impact on a substantial number 
of small entities.
    The full discussion of the economic impacts of the rule, which 
includes a list of changes made in the final regulatory impact 
analysis, in accordance with Executive Order 12866, Executive Order 
13563, the Regulatory Flexibility Act, and the Unfunded Mandates Reform 
Act is available at https://www.regulations.gov under the docket number 
(FDA-2015-N-5017) for this rule and at http://www.fda.gov/AboutFDA/ReportsManualsForms/Reports/EconomicAnalyses/default.htm# (Ref. 23).

VII. Analysis of Environmental Impact

    FDA has carefully considered the potential environmental effects of 
this final rule and of possible alternative actions. In doing so, the 
Agency focused on the environmental impacts of its action as a result 
of disposal of unused powdered surgeon's gloves, powdered patient 
examination gloves, and absorbable powder for lubricating a surgeon's 
glove that will need to be handled after the rule is finalized.
    The environmental assessment (EA) considered each of the 
alternatives in terms of the need to provide maximum reasonable 
protection of human health without resulting in a significant impact on 
the environment. The EA considered environmental impacts related to 
landfill and incineration of solid waste at municipal solid waste (MSW) 
facilities nationwide. The selected action, if finalized, will result 
in an initial batch disposal of unused powdered surgeon's gloves, 
powdered patient examination gloves, and absorbable powder for 
lubricating a surgeon's glove from user facilities to MSW facilities 
nationwide, followed by a rapid decrease in the rate of disposal of 
these devices, as supplies are depleted. The selected action does not 
change the ultimate disposition of these devices but expedites their 
rate of disposal and ceases future production. Overall, given the 
limited number of powdered surgeon's gloves, powdered patient 
examination gloves, and absorbable powder for lubricating a surgeon's 
glove, currently in commercial distribution, the selected action is 
expected to have no significant impact on MSW and landfill facilities 
and the environment in affected communities.
    The Agency has carefully considered the potential environmental 
effects of this action. FDA has concluded that the action will not have 
a significant impact on the human environment, and that an 
environmental impact statement is not required. The Agency's finding of 
no significant impact and the evidence supporting that finding, 
contained in an EA, may be seen in the Division of Dockets Management 
(see ADDRESSES) between 9 a.m. and 4 p.m., Monday through Friday (Ref. 
24).

VIII. Paperwork Reduction Act of 1995

    This final rule contains no collection of information. Therefore, 
FDA is not required to seek clearance by Office of Management and 
Budget under the Paperwork Reduction Act of 1995.

IX. Federalism

    We have analyzed this final rule in accordance with the principles 
set forth in Executive Order 13132. FDA has determined that the rule 
does not contain policies that have substantial direct effects on the 
States, on the relationship between the National Government and the 
States, or on the distribution of power and responsibilities among the 
various levels of government. Accordingly, we conclude that the rule 
does not contain policies that have federalism implications as defined 
in the Executive order and, consequently, a federalism summary impact 
statement is not required.

X. References

    The following references are on display in the Division of Dockets 
Management (see ADDRESSES) and are available for viewing by interested 
persons between 9 a.m. and 4 p.m., Monday through Friday; they are also 
available electronically at https://www.regulations.gov. FDA has 
verified the Web site addresses, as of the date this document publishes 
in the Federal Register, but Web sites are subject to change over time.

1. ``Guidance for Industry and FDA Staff: Medical Glove Guidance 
Manual,'' January 22, 2008, available at: http://www.fda.gov/downloads/MedicalDevices/DeviceRegulationandGuidance/GuidanceDocuments/UCM428191.pdf.
2. ``ASTM D6124 Standard Test Method for Residual Powder on Medical 
Gloves,'' 2011, available at: http://www.astm.org/Standards/D6124.htm.
3. Cote, S.J., M.D. Fisher, J.N. Kheir, et al., ``Ease of donning 
commercially available latex examination gloves,'' Journal of 
Biomedical Matererials Research, 43(3):331-337, 1998, available at: 
http://

[[Page 91730]]

www.ncbi.nlm.nih.gov/pubmed/9730072.
4. Korniewicz, D.M., M.M. El-Masri, J.M. Broyles, et al., ``A 
laboratory-based study to assess the performance of surgical 
gloves,'' AORN Journal, 77(4):772-779, 2003, available at: http://www.ncbi.nlm.nih.gov/pubmed/12705733.
5. Kerr, L.N., M.P. Chaput, L.D. Cash, et al., ``Assessment of the 
durability of medical examination gloves,'' Journal of Occupational 
and Environmental Hygiene, 1(9):607-612, 2004, available at: http://www.ncbi.nlm.nih.gov/pubmed/15559332.
6. Fisher, M.D., V.R. Reddy, F.M. Williams, et al., ``Biomechanical 
performance of powder-free examination gloves,'' The Journal of 
Emergency Medicine, 17(6):1011-1018, 1999, available at: http://www.ncbi.nlm.nih.gov/pubmed/10595890.
7. Korniewicz, D.M., M. El-Masri, J.M. Broyles, et al., 
``Performance of latex and nonlatex medical examination gloves 
during simulated use,'' American Journal of Infection Control, 
30(2):133-138, 2002. available at: http://www.ncbi.nlm.nih.gov/pubmed/11944004.
8. Patel, H.B., G.J. Fleming, and F.J. Burke, ``Puncture resistance 
and stiffness of nitrile and latex dental examination gloves,'' 
British Dental Journal, 196(11):695-700; discussion 685; quiz 707, 
2004, available at: http://www.ncbi.nlm.nih.gov/pubmed/15192735.
9. Rego, A. and L. Roley, ``In-use barrier integrity of gloves: 
latex and nitrile superior to vinyl,'' American Journal of Infection 
Control, 27(5):405-410, 1999, available at: http://www.ncbi.nlm.nih.gov/pubmed/10511487.
10. Sawyer, J. and A. Bennett, ``Comparing the level of dexterity 
offered by latex and nitrile SafeSkin gloves,'' Annals of 
Occupational Hygiene, 50(3):289-296, 2006, available at: http://www.ncbi.nlm.nih.gov/pubmed/16357028.
11. ASTM, ``ASTM D3577-01a Standard Specification for Rubber 
Surgical Gloves,'' 2001.
12. ASTM, ``ASTM D3578-01a Standard Specification for Rubber 
Examination Gloves,'' 2001.
13. Zarra, T. and T. Lambrianidis, ``Skin reactions amongst Greek 
endodontists: a national questionnaire survey,'' International 
Endodontic Journal, 48(4):390-398, 2015, available at: http://www.ncbi.nlm.nih.gov/pubmed/24889504.
14. Aghaee, A., H. Parsa, M. Nassiri Asl, et al., ``Comparison of 
the Effects of Powdered and Powder-free Surgical Gloves on 
Postlaparotomy Peritoneal Adhesions in Rats,'' Iranian Red Crescent 
Medical Journal, 15(5):442-443, 2013, available at: http://www.ncbi.nlm.nih.gov/pubmed/24349737.
15. Bensefa-Colas, L., M. Telle-Lamberton, S. Faye, et al., 
``Occupational contact urticaria: lessons from the French National 
Network for Occupational Disease Vigilance and Prevention (RNV3P),'' 
British Journal of Dermatology, 173(6):1453-1461, 2015, available 
at: http://www.ncbi.nlm.nih.gov/pubmed/26212252.
16. Palosuo, T., I. Antoniadou, F. Gottrup, et al., ``Latex medical 
gloves: time for a reappraisal,'' International Archives of Allergy 
and Immunology, 156(3):234-246, 2011, available at: http://www.ncbi.nlm.nih.gov/pubmed/21720169.
17. GIA, Global Industry Analysts, Inc., ``Disposable Medical 
Gloves: A Global Strategic Business Report,'' 2008.
18. Saary, M.J., A. Kanani, H. Alghadeer, et al., ``Changes in rates 
of natural rubber latex sensitivity among dental school students and 
staff members after changes in latex gloves,'' Journal of Allergy 
and Clinical Immunology, 109(1):131-135, 2002, available at: http://www.ncbi.nlm.nih.gov/pubmed/11799379.
19. Tarlo, S.M., A. Easty, K. Eubanks, et al., ``Outcomes of a 
natural rubber latex control program in an Ontario teaching 
hospital,'' Journal of Allergy and Clinical Immunology, 108(4):628-
633, 2001, available at: http://www.ncbi.nlm.nih.gov/pubmed/11590392.
20. Allmers, H., J. Schmengler, and C. Skudlik, ``Primary prevention 
of natural rubber latex allergy in the German health care system 
through education and intervention,'' Journal of Allergy and 
Clinical Immunology, 110(2):318-323, 2002, available at: http://www.ncbi.nlm.nih.gov/pubmed/12170275.
21. Charous, B.L., P.J. Schuenemann, and M.C. Swanson, ``Passive 
dispersion of latex aeroallergen in a healthcare facility,'' Annals 
of Allergy, Asthma and Immunology, 85(4):285-290, 2000, available 
at: http://www.ncbi.nlm.nih.gov/pubmed/11061471.
22. Dave, J., M.H. Wilcox, and M. Kellett, ``Glove powder: 
implications for infection control,'' Journal of Hospital Infection, 
42(4):283-285, 1999, available at: http://www.ncbi.nlm.nih.gov/pubmed/10467541.
23. ``Final Regulatory Impact Analysis, Final Regulatory Flexibility 
Analysis, and Final Unfunded Mandates Reform Act Analysis for Banned 
Devices; Proposal to Ban Powdered Surgeon's Gloves, Powdered Patient 
Examination Gloves, and Absorbable Powder for Lubricating a 
Surgeon's Glove,'' available at: http://www.fda.gov/AboutFDA/ReportsManualsForms/Reports/EconomicAnalyses/default.htm#.
24. FDA, ``Finding of No Significant Impact (FONSI) and 
Environmental Analysis for Banned Devices; Proposal to Ban Powdered 
Surgeon's Gloves, Powdered Patient Examination Gloves, and 
Absorbable Powder for Lubricating a Surgeon's Glove.''

List of Subjects

21 CFR Parts 878 and 880

    Medical devices.

21 CFR Part 895

    Administrative practice and procedure, Labeling, Medical devices.

    Therefore, under the Federal Food, Drug, and Cosmetic Act and under 
authority delegated to the Commissioner of Food and Drugs, 21 CFR parts 
878, 880, and 895 are 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. Amend Sec.  878.4460 by revising the section heading and paragraph 
(a) to read as follows:


Sec.  878.4460  Non-powdered surgeon's glove.

    (a) Identification. A non-powdered surgeon's glove is a device 
intended to be worn on the hands of operating room personnel to protect 
a surgical wound from contamination. A non-powdered surgeon's glove 
does not incorporate powder for purposes other than manufacturing. The 
final finished glove includes only residual powder from manufacturing.
* * * * *


Sec.  878.4480   [Removed]

0
3. Remove Sec.  878.4480.

PART 880--GENERAL HOSPITAL AND PERSONAL USE DEVICES


0
4. The authority citation for part 880 continues to read as follows:

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

0
5. Amend Sec.  880.6250 by revising the section heading and paragraph 
(a) to read as follows:


Sec.  880.6250   Non-powdered patient examination glove.

    (a) Identification. A non-powdered patient examination glove is a 
disposable device intended for medical purposes that is worn on the 
examiner's hand or finger to prevent contamination between patient and 
examiner. A non-powdered patient examination glove does not incorporate 
powder for purposes other than manufacturing. The final finished glove 
includes only residual powder from manufacturing.
* * * * *

[[Page 91731]]

PART 895--BANNED DEVICES

0
6. The authority citation for part 895 continues to read as follows:

    Authority:  21 U.S.C. 352, 360f, 360h, 360i, 371.

0
7. Add Sec.  895.102 to read as follows:


Sec.  895.102   Powdered surgeon's glove.

    (a) Identification. A powdered surgeon's glove is a device intended 
to be worn on the hands of operating room personnel to protect a 
surgical wound from contamination. A powdered surgeon's glove 
incorporates powder for purposes other than manufacturing.
    (b) [Reserved]

0
8. Add Sec.  895.103 to read as follows:


Sec.  895.103   Powdered patient examination glove.

    (a) Identification. A powdered patient examination glove is a 
disposable device intended for medical purposes that is worn on the 
examiner's hand or finger to prevent contamination between patient and 
examiner. A powdered patient examination glove incorporates powder for 
purposes other than manufacturing.
    (b) [Reserved]

0
9. Add Sec.  895.104 to read as follows:


Sec.  895.104  Absorbable powder for lubricating a surgeon's glove.

    Absorbable powder for lubricating a surgeon's glove is a powder 
made from cornstarch that meets the specifications for absorbable 
powder in the United States Pharmacopeia (U.S.P.) and that is intended 
to be used to lubricate the surgeon's hand before putting on a 
surgeon's glove. The device is absorbable through biological 
degradation.

    Dated: December 13, 2016.
Leslie Kux,
Associate Commissioner for Policy.
[FR Doc. 2016-30382 Filed 12-16-16; 8:45 am]
 BILLING CODE 4164-01-P



                                              91722            Federal Register / Vol. 81, No. 243 / Monday, December 19, 2016 / Rules and Regulations

                                              to be informed promptly and effectively                 Group. The New England Journal of                     § 101.75 Health claims: dietary saturated
                                              of important new knowledge regarding                    Medicine, 336: 1117–1124, 1997.                       fat and cholesterol and risk of coronary
                                              nutritional and health benefits of food.                  3. U.S. Department of Health and                    heart disease.
                                              Third, these amendments to this health                  Human Services and U.S. Department of                 *       *    *     *     *
                                              claim will ensure that scientifically                   Agriculture. ‘‘Dietary Guidelines for                    (c) * * *
                                              sound nutritional and health                            Americans, 2010. 7th Edition,’’ 2010.                    (1) All requirements set forth in
                                              information regarding the benefits of                   Available at http://health.gov/                       § 101.14 shall be met, except
                                              fruit and vegetable intake and reduction                dietaryguidelines/2010/.                              § 101.14(e)(6) with respect to a raw fruit
                                              of CHD risk can be provided to                            4. ‘‘Third Report of the National                   or vegetable.
                                              consumers as soon as possible. The past                 Cholesterol Education Program (NCEP)                     (2) * * *
                                              few editions of the DGA have been                       Expert Panel on Detection, Evaluation,                   (ii) Nature of the food. (A) The food
                                              moving away from a focus on total fat                   and Treatment of High Blood                           shall meet all of the nutrient content
                                              and have instead communicated to                        Cholesterol in Adults (Adult Treatment                requirements of § 101.62 for a ‘‘low
                                              consumers the need to focus on type of                  Panel III) final report.’’ Circulation, 106:          saturated fat’’ and ‘‘low cholesterol’’
                                              fat consumed instead of total amount of                 3143–3421, 2002.                                      food.
                                              fat. Recent editions of the DGA have                      5. U.S. Department of Health and                       (B) The food shall meet the nutrient
                                              also encouraged increased intake of                     Human Services and U.S. Department of                 content requirements of § 101.62 for a
                                              fruits and vegetables for a healthful diet.             Agriculture. ‘‘2015–2020 Dietary                      ‘‘low fat’’ food, unless it is a raw fruit
                                              Prompt issuance of an interim final rule                Guidelines for Americans, 8th Edition,’’              or vegetable; except that fish and game
                                              that reflects the current                               December 2015. Available at http://                   meats (i.e., deer, bison, rabbit, quail,
                                              recommendations is necessary for                        health.gov/dietaryguidelines/2015/                    wild turkey, geese, and ostrich) may
                                              consumers to be able to have the most                   guidelines/.                                          meet the requirements for ‘‘extra lean’’
                                              current information on nutrition and                                                                          in § 101.62.
                                                                                                        6. U.S. Department of Health and
                                              diet. Consumers will be better able to                                                                        *       *    *     *     *
                                                                                                      Human Services and U.S. Department of
                                              construct healthful diets if they have
                                              prompt access to information that is                    Agriculture. ‘‘Nutrition and Your                       Dated: December 9, 2016.
                                              consistent with the current                             Health, Dietary Guidelines for                        Leslie Kux,
                                              recommendations on fat content and on                   Americans,’’ 2000. Available at http://               Associate Commissioner for Policy.
                                              consumption of fruits and vegetables.                   health.gov/dietaryguidelines/2000.asp.                [FR Doc. 2016–29997 Filed 12–16–16; 8:45 am]
                                              Therefore, we are using the authority in                  7. U.S. Department of Health and                    BILLING CODE 4164–01–P
                                              section 403(r)(7)(A) of the FD&C Act to                 Human Services and U.S. Department of
                                              issue an interim final rule amending the                Agriculture. ‘‘Dietary Guidelines for
                                              general requirements for the health                     Americans, 2005. 6th Edition,’’ 2005.                 DEPARTMENT OF HEALTH AND
                                              claim for dietary saturated fat and                     Available at http://health.gov/dietary                HUMAN SERVICES
                                              cholesterol and risk of CHD and to make                 guidelines/dga2005/document/
                                              the interim final rule effective                        default.htm.                                          Food and Drug Administration
                                              immediately.                                              8. Institute of Medicine (IOM) of the
                                                 This regulation is effective upon                    National Academies. ‘‘Dietary Reference               21 CFR Parts 878, 880, and 895
                                              publication in the Federal Register. We                 Intakes for Energy, Carbohydrate, Fiber,
                                                                                                                                                            [Docket No. FDA–2015–N–5017]
                                              invite public comment on this interim                   Fat, Fatty Acids, Cholesterol, Protein,
                                              final rule. We will consider                            and Amino Acids (Macronutrients).’’                   RIN 0910–AH02
                                              modifications to this interim final rule                Chapter 8, ‘‘Dietary Fats: Total Fat and
                                              based on comments made during the                       Fatty Acids,’’ 2002.                                  Banned Devices; Powdered Surgeon’s
                                              comment period. We will address                           9. FDA/CFSAN, Food Labeling:                        Gloves, Powdered Patient Examination
                                              comments and confirm or amend the                       Health Claims; Dietary Saturated Fat                  Gloves, and Absorbable Powder for
                                              interim final rule in a final rule.                     and Cholesterol and Risk of Coronary                  Lubricating a Surgeon’s Glove
                                                                                                      Heart Disease, Regulatory Impact                      AGENCY:    Food and Drug Administration,
                                              X. References
                                                                                                      Analysis, FDA–2013–P–0047.                            HHS.
                                                 The following references are on
                                              display in the Division of Dockets                      List of Subjects in 21 CFR Part 101                   ACTION:   Final rule.
                                              Management (see ADDRESSES) and are                        Food labeling, Nutrition, Reporting                 SUMMARY:    The Food and Drug
                                              available for viewing by interested                     and recordkeeping requirements.                       Administration (FDA or Agency) has
                                              persons between 9 a.m. and 4 p.m.,                        Therefore, under the Federal Food,                  determined that Powdered Surgeon’s
                                              Monday through Friday; they are also                    Drug, and Cosmetic Act and under                      Gloves, Powdered Patient Examination
                                              available electronically at http://                     authority delegated to the Commissioner               Gloves, and Absorbable Powder for
                                              www.regulations.gov. FDA has verified                   of Food and Drugs, 21 CFR part 101 is                 Lubricating a Surgeon’s Glove present
                                              the Web site addresses, as of the date                  amended as follows:                                   an unreasonable and substantial risk of
                                              this document publishes in the Federal                                                                        illness or injury and that the risk cannot
                                              Register, but Web sites are subject to                  PART 101—FOOD LABELING                                be corrected or eliminated by labeling or
                                              change over time.                                                                                             a change in labeling. Consequently, FDA
                                                 1. Liu, S., J.E. Manson, I.M. Lee, et al.            ■ 1. The authority citation for part 101              is banning these devices.
                                              ‘‘Fruit and Vegetable Intake and Risk of                continues to read as follows:
srobinson on DSK5SPTVN1PROD with RULES




                                              Cardiovascular Disease: The Women’s                                                                           DATES: This rule is effective on January
                                                                                                        Authority: 15 U.S.C. 1453, 1454, 1455; 21           18, 2017.
                                              Health Study.’’ The American Journal of                 U.S.C. 321, 331, 342, 343, 348, 371; 42 U.S.C.
                                              Clinical Nutrition, 72: 922–928, 2000.                  243, 264, 271.                                        ADDRESSES: For access to the docket to
                                                 2. Appel, L.J., T.J. Moore, E.                                                                             read background documents or
                                              Obarzanek, et al. ‘‘A Clinical Trial of the             ■ 2. Section 101.75 is amended by                     comments received, go to https://
                                              Effects of Dietary Patterns on Blood                    revising paragraphs (c)(1) and (c)(2)(ii)             www.regulations.gov and insert the
                                              Pressure.’’ DASH Collaborative Research                 to read as follows:                                   docket number found in brackets in the


                                         VerDate Sep<11>2014   20:05 Dec 16, 2016   Jkt 241001   PO 00000   Frm 00080   Fmt 4700   Sfmt 4700   E:\FR\FM\19DER1.SGM   19DER1


                                                               Federal Register / Vol. 81, No. 243 / Monday, December 19, 2016 / Rules and Regulations                                        91723

                                              heading of this final rule into the                     conclusion that powdered surgeon’s                    medical devices, such as condoms. FDA
                                              ‘‘Search’’ box and follow the prompts,                  gloves, powdered patient examination                  has not seen evidence that powder
                                              and/or go to the Division of Dockets                    gloves, and absorbable powder for                     intended for use in or on other medical
                                              Management, 5630 Fishers Lane, Rm.                      lubricating a surgeon’s glove should be               devices, such as condoms, presents the
                                              1061, Rockville, MD 20852.                              banned. FDA has concluded that the                    same public health risks as that on
                                              FOR FURTHER INFORMATION CONTACT:                        risks posed by powdered gloves,                       powdered medical gloves.
                                              Michael J. Ryan, Center for Devices and                 including health care worker and
                                              Radiological Health, Food and Drug                      patient sensitization to natural rubber               B. Summary of the Major Provisions of
                                              Administration, 10903 New Hampshire                     latex (NRL) allergens, surgical                       the Final Rule
                                              Ave., Bldg. 66, Rm. 1615, Silver Spring,                complications related to peritoneal
                                                                                                                                                               In this final rule, FDA is banning the
                                              MD 20993, 301–796–6283, email:                          adhesions, and other adverse health
                                                                                                                                                            following devices: (1) Powdered
                                              michael.ryan@fda.hhs.gov.                               events not necessarily related to surgery,
                                                                                                                                                            surgeon’s gloves, (2) powdered patient
                                              SUPPLEMENTARY INFORMATION:                              such as inflammatory responses to glove
                                                                                                      powder, are important, material, and                  examination gloves, and (3) absorbable
                                              Table of Contents                                       significant in relation to the benefit to             powder for lubricating a surgeon’s
                                                                                                      public health from their continued                    glove. Because the classification
                                              I. Executive Summary
                                                 A. Purpose and Coverage of the Final Rule            marketing. FDA has carefully evaluated                regulations for these device types do not
                                                 B. Summary of the Major Provisions of the            the risks and benefits of powdered                    distinguish between powdered and non-
                                                    Final Rule                                        gloves and the risks and benefits of the              powdered versions, FDA is amending
                                                 C. Legal Authority                                   state of the art, which includes viable               the descriptions of these devices in the
                                                 D. Costs and Benefits                                non-powdered alternatives that do not                 regulations to specify that the
                                              II. Background                                                                                                regulations for patient examination and
                                                 A. Need for the Regulation/History of This
                                                                                                      carry any of the risks associated with
                                                                                                      glove powder, and has determined that                 surgeon’s gloves will apply only to non-
                                                    Rulemaking
                                                                                                      the risk of illness or injury posed by                powdered gloves while the powdered
                                                 B. Summary of Comments to the Proposed
                                                    Rule                                              powdered gloves is unreasonable and                   version of each type of glove will be
                                                 C. General Overview of Final Rule                    substantial. Further, FDA believes that               added to the listing of banned devices
                                                 D. Clarifying Changes to the Rule                    this ban would likely have minimal                    in the regulations.
                                              III. Legal Authority                                    economic and shortage impact on the                      Many comments requested that FDA
                                              IV. Comments on the Proposed Rule and                   health care industry. Thus, a transition              revise the scope of the ban to include all
                                                    FDA’s Responses                                   to alternatives in the marketplace
                                                 A. Introduction                                                                                            NRL gloves. Many comments from
                                                 B. Description of General Comments and
                                                                                                      should not result in any detriment to                 industry requested that the proposed
                                                    FDA Response                                      public health.                                        effective date be extended beyond 30
                                                 C. Description of Comments That Oppose                  This rule applies to powdered patient              days after the date of publication of the
                                                    the Regulation and FDA Response                   examination gloves, powdered surgeon’s                final rule. Of the comments that do not
                                                 D. Description of Comments on Scope of               gloves, and absorbable powder for                     support the ban, commenters noted the
                                                    Ban and FDA Response                              lubricating a surgeon’s glove. This                   need for powdered gloves to aid in
                                                 E. Description of Other Specific Comments            includes all powdered medical gloves
                                                    and FDA Response                                                                                        donning gloves and tactile sense and the
                                              V. Effective Date
                                                                                                      except powdered radiographic                          reduced risks associated with current
                                              VI. Economic Analysis of Impacts                        protection gloves. Because we are not                 powdered gloves that have less powder.
                                                 A. Introduction                                      aware of any powdered radiographic                    The remaining comments are not clearly
                                                 B. Summary of Costs and Benefits                     protection gloves that are currently on               in support or opposition to the proposal.
                                              VII. Analysis of Environmental Impact                   the market, FDA lacks the evidence to
                                              VIII. Paperwork Reduction Act of 1995                   determine whether the banning                         C. Legal Authority
                                              IX. Federalism                                          standard would be met for this
                                              X. References                                                                                                    Powdered surgeon’s gloves, powdered
                                                                                                      particular device. The ban does not
                                                                                                                                                            patient examination gloves, and
                                              I. Executive Summary                                    apply to powder used in the
                                                                                                      manufacturing process (e.g., former-                  absorbable powder for lubricating a
                                              A. Purpose and Coverage of the Final                    release powder) of non-powdered                       surgeon’s glove are defined as devices
                                              Rule                                                    gloves, where that powder is not                      under section 201(h) of the Federal
                                                                                                      intended to be part of the final finished             Food, Drug, and Cosmetic Act (the
                                                 Medical gloves play a significant role
                                              in the protection of both patients and                  glove. Finished non-powdered gloves                   FD&C Act) (21 U.S.C. 321(h)). Section
                                              health care personnel in the United                     are expected to include no more than                  516 of the FD&C Act (21 U.S.C. 360f)
                                              States. Health care personnel rely on                   trace amounts of residual powder from                 authorizes FDA to ban a device if it
                                              medical gloves as barriers against                      these processes, and the Agency                       finds, on the basis of all available data
                                              transmission of infectious diseases and                 encourages manufacturers to ensure                    and information, that the device
                                              contaminants when conducting surgery,                   finished non-powdered gloves have as                  presents substantial deception or
                                              as well as when conducting more                         little powder as possible. In our 2008                unreasonable and substantial risks of
                                              limited interactions with patients.                     Medical Glove Guidance Manual (Ref.                   illness or injury, which cannot be
                                              Various types of powder have been used                  1), we recommended that non-powdered                  corrected by labeling or a change in
                                              to lubricate gloves so that wearers could               gloves have no more than 2 milligrams                 labeling. This rule amends 21 CFR
                                              don the gloves more easily. However,                    (mg) of residual powder and debris per                878.4460, 878.4480, 880.6250, 895.102,
srobinson on DSK5SPTVN1PROD with RULES




                                              the use of powder on medical gloves                     glove, as determined by the Association               895.103, and 895.104. FDA’s legal
                                              presents numerous risks to patients and                 for Testing and Materials (ASTM) D6124                authority to modify §§ 878.4460,
                                              health care workers, including                          test method (Ref. 2). The Agency                      878.4480, 880.6250, 895.102, 895.103,
                                              inflammation, granulomas, and                           continues to believe this amount is an                and 895.104 arises from the device and
                                              respiratory allergic reactions.                         appropriate maximum level of residual                 general administrative provisions of the
                                                 A thorough review of all currently                   powder. The ban also does not apply to                FD&C Act (21 U.S.C. 352, 360f, 360h,
                                              available information supports FDA’s                    powder intended for use in or on other                360i, and 371).


                                         VerDate Sep<11>2014   20:05 Dec 16, 2016   Jkt 241001   PO 00000   Frm 00081   Fmt 4700   Sfmt 4700   E:\FR\FM\19DER1.SGM   19DER1


                                              91724            Federal Register / Vol. 81, No. 243 / Monday, December 19, 2016 / Rules and Regulations

                                              D. Costs and Benefits                                   and doffing, decreased tackiness, and a               determined that these devices present
                                                The final rule is expected to provide                 degree of added comfort, which FDA                    an unreasonable and substantial risk of
                                              a positive net benefit (estimated benefits              believes are nominal when compared to                 illness or injury and that the risk cannot
                                              minus estimated costs) to society.                      the risks posed by these devices.                     be corrected or eliminated by labeling or
                                              Banning powdered glove products is not                     The state of the art of both surgeon’s             a change in labeling (81 FR 15173).
                                              expected to impose any costs to society,                and patient examination gloves includes                  In this final rule, FDA is banning the
                                              but is expected to reduce the number of                 non-powdered alternatives that provide                following devices: (1) Powdered
                                              adverse events associated with using                    similar performance as the various                    surgeon’s gloves (21 CFR 878.4460), (2)
                                              powdered gloves. The primary public                     powdered glove types do. That is, there               powdered patient examination gloves
                                              health benefit from adoption of the rule                are many non-powdered gloves                          (21 CFR 880.6250), and (3) absorbable
                                              would be the value of the reduction in                  available that have the same level of                 powder for lubricating a surgeon’s glove
                                              adverse events associated with using                    protection, dexterity, and performance.               (21 CFR 878.4480). Because the
                                              powdered gloves. The Agency estimates                   Thus, based on a careful evaluation of                classification regulations for these
                                              maximum total annual net benefits to                    the risks and benefits of powdered                    device types do not distinguish between
                                              range between $26.8 million and $31.8                   gloves and the risks and benefits of the              powdered and non-powdered versions,
                                              million.                                                current state of the art, which includes              FDA is amending the descriptions of
                                                                                                      readily available alternatives that carry             these devices in the regulations to
                                              II. Background                                          none of the risks posed by powdered                   specify that the regulations for surgeon’s
                                              A. Need for the Regulation/History of                   gloves, FDA has determined that the                   gloves (21 CFR 878.4460) and patient
                                              the Rulemaking                                          standard to ban powdered gloves has                   examination gloves (21 CFR 880.6250)
                                                                                                      been met, and that it is appropriate to               will apply only to non-powdered gloves
                                                 On March 22, 2016, FDA issued a                      issue this ban.                                       while the powdered version of each
                                              proposed rule to ban powdered                              Finally, as discussed in the proposed              type of glove will be added to 21 CFR
                                              surgeon’s gloves, powdered patient                      rule, FDA also determined the ban                     part 895, subpart B—Listing of Banned
                                              examination gloves, and absorbable                      should apply to devices already in                    Devices.
                                              powder for lubricating a surgeon’s glove                commercial distribution and devices
                                              (81 FR 15173). Section 516(a)(1) of the                 already sold to the ultimate user, as well            D. Clarifying Changes to the Rule
                                              FD&C Act authorizes FDA to ban a                        as to devices that would be sold or                      While FDA believes that the preamble
                                              device intended for human use by                        distributed in the future (see 21 CFR                 to the proposed rule was clear that the
                                              regulation if it finds, on the basis of all             895.21(d)(7)). This means that powdered               proposed ban would apply to all
                                              available data and information, that                    gloves currently being used in the                    powdered surgeon’s gloves and all
                                              such a device ‘‘presents substantial                    marketplace would be subject to this                  powdered patient examination gloves,
                                              deception or an unreasonable and                        ban and adulterated under section                     in reviewing the terminology used in
                                              substantial risk of illness or injury.’’ For            501(g) of the FD&C Act (21 U.S.C.                     the proposed additions to 21 CFR part
                                              a more detailed discussion of the                       351(g)), and thus subject to enforcement              895, FDA determined that term
                                              banning standard, we refer you to the                   action.                                               ‘‘synthetic latex’’ would not cover every
                                              preamble of the proposed rule. FDA                                                                            type of non-NRL material that is used to
                                              issued the proposed regulation because                  B. Summary of Comments to the                         manufacture powdered gloves. It was
                                              it determined that powdered surgeon’s                   Proposed Rule                                         not FDA’s intent to limit the ban to only
                                              gloves, powdered patient examination                       The Agency requested public                        powdered NRL and powdered synthetic
                                              gloves, and absorbable powder for                       comments on the proposed rule, and the                latex gloves, and we believe that this
                                              lubricating a surgeon’s glove present an                comment period closed on June 20,                     intent was clear from the content of the
                                              unreasonable and substantial risk of                    2016. The Agency received                             preamble to the proposed rule, which
                                              illness or injury and that the risk cannot              approximately 100 comment letters on                  stated that the ban ‘‘would apply to all
                                              be corrected or eliminated by labeling or               the proposed rule by the close of the                 powdered gloves except powdered
                                              a change in labeling.                                   comment period, each containing one or                radiographic protection gloves.’’ As
                                                 The preamble to the proposed rule                    more comments on one or more issues.                  such, FDA has now revised the
                                              describes the history of powdered                       We received comments from a cross-                    identification in this final rule to clarify
                                              gloves and the citizen petitions received               section of patients and consumers,                    that the ban applies to all powdered
                                              by the Agency that request a ban on                     medical professionals, device                         surgeon’s gloves and powdered patient
                                              powdered gloves. We refer readers to                    manufacturers, and professional and                   examination gloves without reference to
                                              that preamble for information about the                 trade associations. A majority of the                 the type of material from which they are
                                              development of the proposed rule. The                   comments supported the objectives of                  made. Additionally, the identification of
                                              level and types of risk presented by                    the rule in whole or in part, while a                 non-powdered surgeon’s gloves and
                                              powdered gloves varies depending on                     minority of the comments opposed the                  non-powdered patient examination
                                              the composition and intended use of the                 objectives of the rule. Some comments                 gloves is also being revised to remove
                                              glove. In aggregate, the risks of                       suggested changes to specific elements                reference to material.
                                              powdered gloves include severe airway                   of the proposed rule or requested
                                              inflammation, hypersensitivity                                                                                III. Legal Authority
                                                                                                      clarification of matters discussed in the
                                              reactions, allergic reactions (including                proposed rule. See Section IV for the                    Powdered surgeon’s gloves, powdered
                                              asthma), allergic rhinitis, conjunctivitis,             description of comments on the                        patient examination gloves, and
                                              dyspnea, as well as granuloma and                       proposed rule and FDA’s responses.                    absorbable powder for lubricating a
srobinson on DSK5SPTVN1PROD with RULES




                                              adhesion formation when exposed to                                                                            surgeon’s glove are defined as medical
                                              internal tissue. We refer readers to the                C. General Overview of the Final Rule                 devices under section 201(h) of the
                                              preamble of the proposed rule for                         FDA published a proposed rule to ban                FD&C Act (21 U.S.C. 321). Section 516
                                              details on the level and types of risks                 powdered surgeon’s gloves, powdered                   of the FD&C Act (21 U.S.C. 360f)
                                              presented by powdered gloves. The                       patient examination gloves, and                       authorizes FDA to ban a device if it
                                              benefits of powdered gloves appear to                   absorbable powder for lubricating a                   finds, on the basis of all available data
                                              only include greater ease of donning                    surgeon’s glove, because FDA                          and information, that the device


                                         VerDate Sep<11>2014   20:05 Dec 16, 2016   Jkt 241001   PO 00000   Frm 00082   Fmt 4700   Sfmt 4700   E:\FR\FM\19DER1.SGM   19DER1


                                                               Federal Register / Vol. 81, No. 243 / Monday, December 19, 2016 / Rules and Regulations                                        91725

                                              presents substantial deception or                       operative adhesions, and delayed                         (Comment 3) Comments oppose the
                                              unreasonable and substantial risks of                   wound healing.                                        proposed ban on powdered patient
                                              illness or injury, which cannot be                        (Response 1) FDA agrees with these                  examination gloves and powdered
                                              corrected by labeling or a change in                    comments. After further review of all                 surgeon’s gloves because of difficulty
                                              labeling. This rule amends §§ 878.4460,                 available information and the comments                donning non-powdered gloves, leading
                                              878.4480, 880.6250, 895.102, 895.103,                   submitted to the proposed rule, FDA has               to greater propensity of non-powdered
                                              and 895.104. FDA’s legal authority to                   concluded that the public’s exposure to               gloves to tear. Some of these comments
                                              modify §§ 878.4460, 878.4480,                           the risks of powdered gloves is                       express concern that the reduced ability
                                              880.6250, 895.102, 895.103, and 895.104                 unreasonable and substantial in relation              to separate the opening of a non-
                                              arises from the device and general                      to the nominal public health benefit                  powdered glove or the greater
                                              administrative provisions of the FD&C                   derived from the continued marketing of               propensity of non-powdered gloves to
                                              Act (21 U.S.C. 352, 360f, 360h, 360i, and               these devices, especially when                        tear could potentially lead to a higher
                                              371).                                                   considering the benefits and risks posed              degree of contamination and post-
                                                                                                      by readily available alternative devices.             procedure infections.
                                              IV. Comments on the Proposed Rule                       Therefore, FDA has determined that the                   (Response 3) FDA disagrees with the
                                              and FDA’s Responses                                     standard for a ban on these devices has               assertion that non-powdered gloves
                                              A. Introduction                                         been met.                                             have a higher propensity to tear and
                                                                                                                                                            thus disagrees that use of non-powdered
                                                We received approximately 100                         C. Description of Comments That
                                                                                                                                                            gloves presents a greater risk of
                                              comment letters on the proposed rule by                 Oppose the Regulation and FDA
                                                                                                                                                            contamination, post-procedure
                                              the close of the comment period, each                   Response
                                                                                                                                                            infections, or exposure of the user to
                                              containing one or more comments on                         FDA received some comments that                    blood. FDA does not believe there is
                                              one or more issues. We received                         oppose the proposed ban on powdered                   compelling evidence to support the
                                              comments from a cross-section of                        patient examination gloves and                        assertion that non-powdered gloves
                                              patients and consumers, medical                         powdered surgeon’s gloves for various                 have a higher propensity to tear.
                                              professionals, device manufacturers,                    reasons. We address each of these                     Korniewicz, et al., determined that the
                                              and professional and trade associations.                reasons for opposition in this section.               presence of powder did not affect the
                                              A majority of the comments supported                    After reviewing these comments, FDA                   durability of gloves or enhance glove
                                              the objectives of the rule in whole or in               has determined that the standard to ban               donning (Ref. 4). Although Kerr, et al.,
                                              part, while a minority of the comments                  powdered gloves has been met, and that                identified a statistically significant
                                              opposed the objectives of the rule. Some                it is appropriate to issue this ban. We               difference in the durability of non-
                                              comments suggested changes to specific                  are finalizing the ban with only                      powdered vinyl gloves compared to
                                              elements of the proposed rule or                        clarifying changes.                                   powdered vinyl gloves, this difference
                                              requested clarification of matters                         (Comment 2) Comments oppose the                    may be attributed to glove type,
                                              discussed in the proposed rule.                         proposed ban on powdered patient                      manufacturer, and the fingernail length
                                                We describe and respond to the                        examination gloves and powdered                       of users rather than the presence or
                                              comments in section IV.B through E. We                  surgeon’s gloves because of difficulty                absence of powder (Ref. 5). This study
                                              have numbered each comment to help                      donning or doffing non-powdered                       also found that vinyl gloves in general
                                              distinguish between different                           gloves. Two commenters specifically                   are less durable and have a greater
                                              comments. We have grouped similar                       discuss hyperhidrosis with claims that                propensity to tear compared to nitrile,
                                              comments together under the same                        it can add to the difficulty donning and              neoprene, and latex gloves.
                                              number, and, in some cases, we have                     doffing non-powdered gloves. One                      Furthermore, as discussed in the
                                              separated different issues discussed in                 commenter has asserted that double-                   response to comment 4, several studies
                                              the same comment and designated them                    gloving is more difficult when using                  have found that alternatives to non-
                                              as distinct comments for purposes of                    non-powdered gloves.                                  powdered NRL gloves, such as nitrile
                                              our responses. The number assigned to                      (Response 2) As described in the                   and neoprene gloves, offer the same
                                              each comment or comment topic is                        preamble of the proposed rule, we have                level of protection against
                                              purely for organizational purposes and                  concluded that the benefit of ease of                 contamination and exposure to blood as
                                              does not signify the comment’s value or                 donning or doffing powdered gloves is                 powdered NRL gloves (Refs. 5, 6, 7, 8,
                                              importance or the order in which                        generally nominal (Ref. 3) in                         9, and 10). Therefore, FDA has
                                              comments were received.                                 comparison to the risks posed by the                  determined that suitable alternatives to
                                                                                                      continued marketing of powdered                       powdered gloves are readily available in
                                              B. Description of General Comments                      gloves, which, among others, include
                                              and FDA Response                                                                                              the marketplace.
                                                                                                      severe airway inflammation,                              (Comment 4) Commenters oppose the
                                                Many comments made general                            hypersensitivity reactions, and allergic              proposed ban on powdered patient
                                              remarks supporting or opposing the                      reactions (including asthma). Also, as                examination gloves and powdered
                                              proposed rule without focusing on a                     noted in the proposed rule, a study of                surgeon’s gloves because the fit of
                                              particular proposed provision. In the                   various brands of powdered and non-                   powdered gloves is more comfortable
                                              following paragraphs, we discuss and                    powdered NRL gloves by Cote et al.                    than non-powdered gloves. Some of
                                              respond to such general comments.                       found that there are non-powdered latex               these comments assert that the reduced
                                                (Comment 1) Many comments support                     gloves that are easily donned with wet                fit of non-powdered gloves inhibits the
                                              the proposed ban on powdered patient                    or dry hands with relatively low force                tactile sensation necessary to perform
srobinson on DSK5SPTVN1PROD with RULES




                                              examination gloves and powdered                         compared to the forces required to don                medical procedures.
                                              surgeon’s gloves. These comments from                   powdered latex examination gloves (Ref.                  (Response 4) FDA disagrees with the
                                              individual consumers, health care                       3). Thus, FDA has considered ease of                  assertion that non-powdered gloves
                                              professionals, academia, and industry                   donning and doffing as a benefit as it                inhibit the tactile sensation necessary to
                                              highlight several risks of the continued                applies within the banning standard,                  perform medical procedures. The ban
                                              use of powdered gloves, including,                      and has determined that the standard is               does not include non-powdered NRL
                                              among others, allergic reactions, post-                 met.                                                  gloves, which offer the same


                                         VerDate Sep<11>2014   20:05 Dec 16, 2016   Jkt 241001   PO 00000   Frm 00083   Fmt 4700   Sfmt 4700   E:\FR\FM\19DER1.SGM   19DER1


                                              91726            Federal Register / Vol. 81, No. 243 / Monday, December 19, 2016 / Rules and Regulations

                                              performance characteristics of                          Finally, FDA is not aware of any report               because potential warning labels would
                                              powdered NRL gloves, and several                        in the literature that supports the                   raise awareness of the risks, but would
                                              studies have found that alternatives,                   assertion that currently marketed                     not eliminate the risks posed by glove
                                              such as nitrile and neoprene gloves,                    powdered gloves with lower powder                     powder, FDA has determined no label
                                              offer the same level of protection,                     content reduce the risks presented by                 or warning can correct the risks posed
                                              dexterity, and performance as NRL                       powdered gloves (Ref. 15). In summary,                by these devices.
                                              gloves (Refs. 5, 6, 7, 8, 9, and 10).                   FDA concludes that the risks of powder                   (Comment 7) One comment opposes
                                              Furthermore, the numerous risks posed                   continue to be unreasonable and                       the proposed ban on powdered patient
                                              by the continued marketing of                           substantial for currently marketed                    examination gloves and powdered
                                              powdered gloves outweigh the benefit of                 powdered gloves despite lower powder                  surgeon’s gloves, because the solvent
                                              whatever additional level of comfort is                 content than previous generations of                  used to remove powder during the
                                              provided from using powdered gloves                     powdered gloves.                                      manufacture of non-powdered gloves
                                              instead of the non-powdered                                (Comment 6) Two comments oppose                    may cause adverse reactions to the glove
                                              alternatives that carry none of these                   the proposed ban on powdered patient                  user.
                                              risks.                                                  examination gloves and powdered                          (Response 7) FDA is not aware of any
                                                 (Comment 5) Some comments oppose                     surgeon’s gloves, because the                         report in the literature that supports the
                                              the proposed ban on powdered patient                    commenters believe a warning on the                   assertion of widespread adverse
                                              examination gloves and powdered                         risks of powdered gloves is sufficient to             reactions to solvent used in the
                                              surgeon’s gloves, citing a lack of                      mitigate the risks posed by these                     manufacturing process. Non-powdered
                                              scientific evidence that gloves with                    devices.                                              patient examination and surgeon’s
                                              reduced powder content, as those in use                    (Response 6) As described in Section               gloves require premarket notification
                                              today, have the same risks as previously                IV of the proposed rule, FDA has                      (510(k)) submissions prior to marketing.
                                              used gloves that had higher powder                      determined that no change in labeling                 During the review of these submissions,
                                              content.                                                could correct the risk of illness or injury           FDA evaluates the final finished glove,
                                                 (Response 5) FDA agrees that the                     presented by the continued use of these               including manufacturing solvents that
                                              maximum residual level of powder on                     devices. Powdered gloves have                         are present on the final glove. FDA
                                              powdered gloves is less than earlier                    additional or increased risks to health               recommends that manufacturers
                                              types of powdered gloves. Historically,                 compared to non-powdered gloves                       conduct and submit skin irritation and
                                              powdered medical gloves contained                       related to the spread of powder, and the              dermal sensitization studies in these
                                              powder levels ranging from 50 to over                   fact that powder-transported                          submissions to evaluate potential issues
                                              400 mg of powder per glove. Effective in                contaminants such as NRL allergens can                with components, including
                                              2002, the ASTM International                            become aerosolized. Exposure to                       manufacturing solvents (Ref. 1).
                                              recommended limits on powder levels                     powder or latex allergens presents                    Although individual hypersensitivity
                                              is 15 mg per square decimeter for                       significant risks to health care workers              reactions to different materials may
                                              surgical gloves (ASTM D3577–2001)                       and patients when inhaled or when                     occur, FDA has been unable to find
                                              (Ref. 11) and 10 mg per square                          exposed to internal tissue during oral,               evidence in the literature of
                                              decimeter for patient examination                       vaginal, gynecological, and rectal                    hypersensitivity to typical glove
                                              gloves (ASTM D3578) (Ref. 12). As a                     exams. Although labeling can raise                    manufacturing materials other than
                                              result, FDA believes that gloves in use                 awareness of these risks, we conclude                 glove powder or NRL. However,
                                              after 2002 follow these recommended                     that labeling cannot effectively mitigate             Palosuo, et al., reports that the use of
                                              limits and generally have lower powder                  these risks because it cannot prohibit                hand sanitizers containing isopropyl
                                              content than earlier types of powdered                  the spread of glove powder or powder-                 alcohol prior to donning gloves could
                                              gloves. Even so, several studies indicate               transported contaminants. In addition,                cause dermatitis reaction if the gloves
                                              that gloves with reduced powder levels                  an important aspect of these devices is               are donned before the alcohol dries (Ref.
                                              continue to present unreasonable and                    their ability to affect persons other than            16). The occurrence of this reaction is
                                              substantial risks to patients and health                the individual who decides to wear or                 unrelated to the manufacture of non-
                                              care workers. For instance, a study                     use them. For example, patients often                 powdered gloves and unrelated to the
                                              conducted on the incidence of skin                      do not know the type of gloves being                  use of non-powdered gloves as an
                                              reactions for Greek endodontists from                   worn by the health care professional                  alternative to powdered gloves. Given
                                              2006 to 2012 found that glove powder                    treating them, but are still exposed to               the lack of evidence of adverse reactions
                                              accounted for the majority of skin                      the potential dangers. Similarly, glove               to solvents used in the manufacturing of
                                              reactions, and the replacement of                       powder’s ability to aerosolize and carry              non-powdered gloves, and the
                                              powdered NRL gloves with non-                           NRL proteins exposes individuals to                   established evidence demonstrating the
                                              powdered gloves resolved the majority                   harm via inhalation or surface contact.               risks of powdered glove use, FDA
                                              of the adverse reactions (Ref. 13).                     Thus, some of the risks posed by glove                continues to believe that powdered
                                              Similarly, the risks of powdered gloves                 powder can impact persons completely                  gloves and glove powder meet the
                                              persist in non-clinical studies using                   unaware or unassociated with its                      banning standard.
                                              gloves with reduced powder content, as                  employment and without the                               (Comment 8) Several comments
                                              demonstrated by the 2013 finding that                   opportunity to consider the devices’                  oppose the proposed ban on powdered
                                              surgeries performed with powdered                       labeling. Because of this inherent                    patient examination gloves and
                                              gloves increased the number, density,                   quality, adequate directions for use or               powdered surgeon’s gloves due to the
                                              and fibrotic properties of peritoneal                   warnings cannot be written that would                 expectation that users will ultimately
srobinson on DSK5SPTVN1PROD with RULES




                                              adhesions in rats compared with                         provide reasonable assurance of the safe              have to pay more for medical gloves
                                              surgeries performed with non-powdered                   and effective use of these devices for all            once the ban is finalized, because the
                                              gloves (Ref. 14). Also, the reduction in                persons that might come in contact with               cost of non-powdered gloves is
                                              cases of NRL-induced occupational                       them.                                                 currently higher than the cost of
                                              contact urticaria coincided with French                    Due to the ability of powder to affect             powdered gloves.
                                              hospitals transitioning to non-powdered                 people who would not have an                             (Response 8) We do not find any
                                              gloves after 2004–2005 (Ref. 13).                       opportunity to read warning labels, and               evidence to support the claims that


                                         VerDate Sep<11>2014   20:05 Dec 16, 2016   Jkt 241001   PO 00000   Frm 00084   Fmt 4700   Sfmt 4700   E:\FR\FM\19DER1.SGM   19DER1


                                                               Federal Register / Vol. 81, No. 243 / Monday, December 19, 2016 / Rules and Regulations                                         91727

                                              current prices of non-powdered gloves                   expect this trend to be occurring                     adverse effect on product quality (21
                                              are significantly higher than powdered                  without regulatory action if the loss in              CFR 820.70(e)). FDA’s Quality System
                                              gloves. As we stated in the preliminary                 consumer utility to current medical                   regulation applies to gloves and glove
                                              regulatory impact analysis (PRIA),                      workers were substantial. Korniewicz et               powder sold in the United States,
                                              extensive searches of glove distributor                 al. reported no loss in consumer                      regardless of the manufacturing
                                              pricing indicate that non-powdered                      satisfaction in a sample of operating                 location.
                                              gloves have become as affordable as                     room staff switching to non-powdered
                                                                                                                                                            D. Description of Comments on Scope of
                                              powdered gloves. Our searches also                      surgical gloves (Ref. 4). We have not
                                                                                                                                                            Ban and FDA Response
                                              revealed that the market is saturated                   estimated this potential burden, but the
                                              with alternatives to powdered gloves,                   evidence described here suggests that                    FDA received several comments
                                              resulting in downward pressure on the                   any burden would not be substantial.                  requesting revision of the scope of the
                                              prices of non-powdered gloves. In                       Further, even having considered that                  ban. The scope of the proposed ban
                                              addition, the share of powdered medical                 some degree of consumer comfort may                   includes powdered surgeon’s gloves,
                                              gloves sales has been declining since at                be lost by banning powdered gloves,                   powdered patient examination gloves,
                                              least 2000 while total sales of all                     FDA continues to believe that this                    and absorbable powder for lubricating a
                                              disposable medical gloves have                          benefit is considerably outweighed by                 surgeon’s glove. The glove types include
                                              increased (Ref. 17). We would not                       the numerous risks posed by powdered                  all powdered patient examination and
                                              expect this trend to be occurring                       gloves.                                               surgeon’s gloves, including NRL and
                                              without regulatory action if users of                      (Comment 11) One comment opposes                   synthetic latex gloves. In the following
                                              disposable medical gloves faced                         the proposed ban on powdered patient                  paragraphs, we discuss and respond to
                                              significantly higher prices for switching               examination gloves and powdered                       comments requesting revision of the
                                              to non-powdered gloves. We therefore                    surgeon’s gloves, because the risks                   scope of the ban. We are finalizing the
                                              do not find it necessary to update our                  identified for powdered gloves are due                ban without change to the scope, but
                                              analysis based on these comments.                       to contaminants, such as pesticides and               clarifying that all powdered patient
                                                 (Comment 9) We received one                          herbicides, in the powder that would                  examination gloves and powder surgical
                                              comment that disagrees with our                         not be present if the powder were                     gloves are banned, regardless of the
                                              determination that the availability of                  manufactured in the United States.                    material from which they are made.
                                              examination and surgical gloves would                      (Response 11) FDA disagrees with the                  (Comment 12) Several comments
                                              not be reduced.                                         assertion that contaminated powder is                 identify risks that result from the use of
                                                 (Response 9) We do not find any                      the source of the risks identified for                powdered and non-powdered NRL
                                              evidence to support these claims. As we                 powdered gloves. FDA’s proposal to ban                gloves. These comments request FDA to
                                              stated in the PRIA, research shows only                 powdered gloves and glove powder is                   extend the ban to all NRL gloves, both
                                              7 percent of total sales of examination                 based on various studies on the risks of              powdered and non-powdered.
                                              and surgical gloves to medical workers                  powdered gloves due to the properties                    (Response 12) Unlike with powdered
                                              were projected to be from powdered                      of the powder itself. Powdered gloves                 latex gloves, which have the ability to
                                              gloves in 2010 (Ref. 17). Global Industry               have additional or increased risks to                 aerosolize glove powder and carry
                                              Analysts (GIA) projected the share of                   health compared to non-powdered                       allergenic proteins, FDA believes the
                                              powdered disposable medical gloves                      gloves. For example, powder on NRL                    risk of allergic reaction to non-
                                              sales to decrease to 2 percent in 2015,                 gloves can aerosolize latex allergens,                powdered NRL gloves, which affects the
                                              while total sales of all disposable                     resulting in sensitization to latex and               user and patients in direct contact with
                                              medical gloves continue to increase                     allergic reactions. Latex sensitization               the glove, is adequately mitigated
                                              (Ref. 17). We would not expect this                     and allergic reactions are unrelated to               through already-required labeling that
                                              trend to be occurring without regulatory                any potential presence of manufacturing               alerts users to this risk. NRL gloves must
                                              action if there were a reduction in the                 contaminants, such as pesticides and                  include a statement to alert users to the
                                              availability of disposable examination                  herbicides. Additional risks of                       risk of allergic reactions caused by NRL
                                              and surgical gloves. We therefore do not                powdered gloves include severe airway                 (21 CFR 801.437). Further, several
                                              find it necessary to update our analysis                inflammation, conjunctivitis, dyspnea,                studies have indicated that the use of
                                              based on these comments.                                as well as granuloma and adhesion                     non-powdered NRL gloves reduces the
                                                 (Comment 10) Commenters suggest                      formation when exposed to internal                    risk of sensitization to allergenic NRL
                                              there would be a loss in consumer                       tissue. FDA’s assessment of the                       proteins and the number of allergic
                                              utility due to the preference some                      available literature and information                  reactions experienced by those who are
                                              medical workers may have for                            indicates that these risks are attributable           already sensitized (Refs. 18, 19, and 20).
                                              powdered gloves due to comfort and                      to the powder itself, as opposed to any               FDA believes that these study results,
                                              ease of use.                                            potential presence of manufacturing                   when considered alongside the risk
                                                 (Response 10) We stated in the PRIA                  contaminants, such as pesticides and                  mitigation that follows from FDA’s
                                              that the remaining 7 percent continuing                 herbicides.                                           required labeling for NRL products,
                                              to use these powdered gloves may                           In addition, the powder used on                    demonstrates that non-powdered latex
                                              experience utility loss from the removal                powdered gloves is required to comply                 gloves can be safely used with
                                              of powdered gloves from the market                      with FDA’s Quality System regulation,                 appropriate caution for latex-sensitive
                                              (Ref. 17). The potential loss in consumer               which includes requirements for quality               patients and health care workers.
                                              utility would be due to the perceived                   and inspection for the final finished                 Therefore, FDA has determined not to
                                              loss in comfort from powdered gloves                    gloves that protect against the                       ban the use of all NRL gloves.
srobinson on DSK5SPTVN1PROD with RULES




                                              users switching to non-powdered                         introduction of contaminated devices                     (Comment 13) Several comments raise
                                              gloves. However, as the GIA report                      into commerce. Among other                            the issue of life threatening latex allergy
                                              shows, there has been a downward                        requirements, device manufacturers                    events that result from various uses of
                                              trend in total sales of powdered gloves                 must establish and maintain procedures                NRL gloves including food preparation
                                              since at least the year 2000 while total                to prevent contamination of equipment                 and food service. Several of these
                                              sales of all disposable medical gloves                  or product by substances that could                   comments assert that the Agency should
                                              has increased (Ref. 17). We would not                   reasonably be expected to have an                     broaden the scope of the ban to cover all


                                         VerDate Sep<11>2014   20:05 Dec 16, 2016   Jkt 241001   PO 00000   Frm 00085   Fmt 4700   Sfmt 4700   E:\FR\FM\19DER1.SGM   19DER1


                                              91728            Federal Register / Vol. 81, No. 243 / Monday, December 19, 2016 / Rules and Regulations

                                              NRL gloves for all uses including food                  existing inventory to flow through the                   (Comment 18) One comment requests
                                              preparation and food service.                           supply chain to providers and patients.               clarification on whether after the
                                                 (Response 13) We have concluded                         (Response 15) FDA is not extending                 effective date of the ban the Agency will
                                              that it is not appropriate to address a                 the effective date of the ban for devices             permit a manufacturer to export
                                              proposal to ban gloves used for food                    already in commercial distribution. We                powdered medical gloves that are
                                              preparation because these gloves do not                 have concluded that powdered                          already physically located at
                                              meet the definition of a device under                   surgeon’s gloves, powdered patient                    distribution centers in the United States.
                                              section 201(h) of the FD&C Act and are                  examination gloves, and absorbable                       (Response 18) After the effective date
                                              thus not subject to section 516 of the                  powder for lubricating a surgeon’s glove              of this final rule, manufacturers will not
                                              FD&C Act (21 U.S.C. 360f), which                        present an unreasonable and substantial               be allowed to import powdered medical
                                              provides the statutory authority to ban                 risk of illness or injury and that the risk           gloves. However, while powdered
                                              devices within FDA’s authority to                       cannot be corrected or eliminated by                  medical gloves will be banned in the
                                              regulate such products.                                 labeling or a change in labeling. The                 United States on the effective date of
                                                 (Comment 14) One comment asserts                     continued marketing of these devices                  this final rule, manufacturers may
                                              that the ban on powdered gloves should                  beyond the 30 day effective date would                export existing inventory of powdered
                                              not apply to dental practice, because the               allow for the continued sale and                      gloves to a foreign country if the device
                                              risks are not applicable to dental                      purchase of devices that FDA has                      complies with the laws of that country
                                              practice.                                               determined present an unreasonable                    and has valid marketing authorization
                                                 (Response 14) FDA disagrees with the                 and substantial risk to patients and                  by the appropriate authority, as
                                              assertion that the risks of powdered                    health care workers. Therefore, FDA                   described in section 802 of the FD&C
                                              gloves are not applicable to dental                     does not believe that it is in the best               Act (21 U.S.C. 382)). If eligible for
                                              practice. Dentists and dental patients                  interest of the public health to extend               export under section 802 of the FD&C
                                              face the same risks as other medical                    the effective date for devices already in             Act, a device intended for export will
                                              practices in terms of the potential for                 commercial distribution. In order to                  not be deemed adulterated or
                                              powder exposure to open cavities or                     minimize the risk of continued exposure               misbranded if it
                                              open wounds, and for powder, if used                    of health care workers and patients to                   (A) accords to the specifications of the
                                              with NRL gloves, to carry protein                       these devices, the effective date for                 foreign purchaser,
                                              allergens. Several studies documenting                  devices remains 30 days after the date                   (B) is not in conflict with the laws of
                                              the risks of powdered gloves in dental                  of publication of this final rule.                    the country to which it is intended for
                                              practices have been conducted,                             (Comment 16) One comment requests                  export,
                                              including Saary, et al., which identified               that FDA not extend the effective date                   (C) is labeled on the outside of the
                                              that changing to low-protein and non-                   of the ban to allow companies to deplete              shipping package that it is intended for
                                              powdered NRL gloves reduced NRL                         their inventory of the devices.                       export, and
                                              allergy in dental students (Ref. 18). In                   (Response 16) As described in the                     (D) is not sold or offered for sale in
                                              addition, Charous et al., reported in                   response to comment 15, FDA agrees                    domestic commerce.
                                              2000 that a dental office was able to                   that it is in the best interest of the public         V. Effective Date
                                              reduce airborne NRL antigen levels to                   health to not extend the effective date of
                                              undetectable levels with the exclusive                  the ban for devices already in                          This rule is effective January 18, 2017.
                                              use of non-powdered NRL gloves,                         commercial distribution. Therefore, the               The effective date of this rule applies to
                                              permitting a highly sensitized staff                    effective date of the ban for devices                 devices already in commercial
                                              member to continue to work there (Ref.                  already in commercial distribution                    distribution and those already sold to
                                              21). These studies, among others (Refs.                 remains at 30 days after the date of                  the ultimate user, as well as to devices
                                              13 and 22), indicate that the risks of                  publication of the final rule.                        that would be sold or distributed in the
                                              powdered medical gloves apply to                           (Comment 17) A few comments                        future. All powdered surgeon’s gloves,
                                              dental practice. Therefore, FDA has                     request recommendations on the means                  powdered patient examination gloves,
                                              determined that the scope of the ban on                 of disposal or recycling of powdered                  and absorbable powder for lubricating a
                                              powdered medical gloves should                          gloves.                                               surgeon’s gloves must be removed from
                                              continue to include powdered gloves                        (Response 17) FDA recommends that                  the market upon the effective date of
                                              used in dental practice.                                unused inventories of powdered                        this final rule. Section 501(g) of the
                                                                                                      medical gloves remaining at domestic                  FD&C Act (21 U.S.C. 351(g)) deems a
                                              E. Description of Other Specific                                                                              device to be adulterated if it is a banned
                                                                                                      manufacturing and distribution
                                              Comments and FDA Response                                                                                     device.
                                                                                                      locations be disposed of in accordance
                                                 Many comments made specific                          with standard industry practices.                     VI. Economic Analysis of Impacts
                                              remarks requesting clarification or                     Unused supplies at hospitals, outpatient
                                              revision to the proposed rule. In the                   centers, clinics, medical and dental                  A. Introduction
                                              following paragraphs, we discuss and                    offices, other service delivery points                   We have examined the impacts of the
                                              respond to such specific comments.                      (nursing homes, etc.), and in the                     final rule under Executive Order 12866,
                                                 (Comment 15) A number of comments                    possession of end users, will need to be              Executive Order 13563, the Regulatory
                                              request extension of the effective date of              disposed of according to established                  Flexibility Act (5 U.S.C. 601–612), and
                                              the ban. The proposed rule included a                   procedures of the local community’s                   the Unfunded Mandates Reform Act of
                                              proposed effective date of 30 days after                solid waste management system.                        1995 (Pub. L. 104–4). Executive Orders
srobinson on DSK5SPTVN1PROD with RULES




                                              publication of the final rule for all                   Established procedures for these                      12866 and 13563 direct us to assess all
                                              devices, including those already in                     materials typically involve disposal in               costs and benefits of available regulatory
                                              commercial distribution. The comments                   landfills or incineration. FDA has                    alternatives and, when regulation is
                                              suggest a range of effective dates of 90                concluded that this final rule will not               necessary, to select regulatory
                                              days to 18 months after publication of                  have a significant impact on the human                approaches that maximize net benefits
                                              the final rule and assert that a longer                 environment. (See Section VII. Analysis               (including potential economic,
                                              transition period is necessary to allow                 of Environmental Impact.)                             environmental, public health and safety,


                                         VerDate Sep<11>2014   20:05 Dec 16, 2016   Jkt 241001   PO 00000   Frm 00086   Fmt 4700   Sfmt 4700   E:\FR\FM\19DER1.SGM   19DER1


                                                               Federal Register / Vol. 81, No. 243 / Monday, December 19, 2016 / Rules and Regulations                                            91729

                                              and other advantages; distributive                      entities, the Regulatory Flexibility Act                The Agency has carefully considered
                                              impacts; and equity). We have                           requires us to analyze regulatory options             the potential environmental effects of
                                              developed a comprehensive Economic                      that would lessen the economic effect of              this action. FDA has concluded that the
                                              Analysis of Impacts that assesses the                   the rule on small entities. This rule will            action will not have a significant impact
                                              impacts of the final rule. We believe that              not impose any new burdens on small                   on the human environment, and that an
                                              this final rule is not a significant                    entities, and thus will not impose a                  environmental impact statement is not
                                              regulatory action as defined by                         significant economic impact on a                      required. The Agency’s finding of no
                                              Executive Order 12866.                                  substantial number of small entities.                 significant impact and the evidence
                                                The Regulatory Flexibility Act                           The full discussion of the economic                supporting that finding, contained in an
                                              requires us to analyze regulatory options               impacts of the rule, which includes a                 EA, may be seen in the Division of
                                              that would minimize any significant                     list of changes made in the final                     Dockets Management (see ADDRESSES)
                                              impact of a rule on small entities.                     regulatory impact analysis, in                        between 9 a.m. and 4 p.m., Monday
                                              Because this rule imposes no new                        accordance with Executive Order 12866,                through Friday (Ref. 24).
                                              burdens, we certify that the final rule                 Executive Order 13563, the Regulatory
                                              will not have a significant economic                                                                          VIII. Paperwork Reduction Act of 1995
                                                                                                      Flexibility Act, and the Unfunded
                                              impact on a substantial number of small                 Mandates Reform Act is available at                     This final rule contains no collection
                                              entities.                                               https://www.regulations.gov under the                 of information. Therefore, FDA is not
                                                The Unfunded Mandates Reform Act                      docket number (FDA–2015–N–5017) for                   required to seek clearance by Office of
                                              of 1995 (section 202(a)) requires us to                 this rule and at http://www.fda.gov/                  Management and Budget under the
                                              prepare a written statement, which                      AboutFDA/ReportsManualsForms/                         Paperwork Reduction Act of 1995.
                                              includes an assessment of anticipated                   Reports/EconomicAnalyses/
                                              costs and benefits, before issuing ‘‘any                                                                      IX. Federalism
                                                                                                      default.htm# (Ref. 23).
                                              rule that includes any Federal mandate
                                              that may result in the expenditure by                   VII. Analysis of Environmental Impact                   We have analyzed this final rule in
                                              State, local, and tribal governments, in                                                                      accordance with the principles set forth
                                                                                                         FDA has carefully considered the                   in Executive Order 13132. FDA has
                                              the aggregate, or by the private sector, of
                                                                                                      potential environmental effects of this               determined that the rule does not
                                              $100,000,000 or more (adjusted
                                                                                                      final rule and of possible alternative                contain policies that have substantial
                                              annually for inflation) in any one year.’’
                                                                                                      actions. In doing so, the Agency focused              direct effects on the States, on the
                                              The current threshold after adjustment
                                                                                                      on the environmental impacts of its                   relationship between the National
                                              for inflation is $146 million, using the
                                                                                                      action as a result of disposal of unused              Government and the States, or on the
                                              most current (2015) Implicit Price
                                                                                                      powdered surgeon’s gloves, powdered                   distribution of power and
                                              Deflator for the Gross Domestic Product.
                                                                                                      patient examination gloves, and                       responsibilities among the various
                                              This final rule would not result in an
                                                                                                      absorbable powder for lubricating a                   levels of government. Accordingly, we
                                              expenditure in any year that meets or
                                                                                                      surgeon’s glove that will need to be                  conclude that the rule does not contain
                                              exceeds this amount.
                                                                                                      handled after the rule is finalized.                  policies that have federalism
                                              B. Summary of Costs and Benefits                           The environmental assessment (EA)                  implications as defined in the Executive
                                                 The final rule prohibits marketing of                considered each of the alternatives in                order and, consequently, a federalism
                                              powdered surgeon’s gloves, powdered                     terms of the need to provide maximum                  summary impact statement is not
                                              patient examination gloves, and                         reasonable protection of human health                 required.
                                              absorbable powder for lubricating                       without resulting in a significant impact
                                                                                                      on the environment. The EA considered                 X. References
                                              surgeon’s gloves. The rule does not
                                              cover or include powdered radiographic                  environmental impacts related to                        The following references are on
                                              gloves.                                                 landfill and incineration of solid waste              display in the Division of Dockets
                                                 The final rule is expected to provide                at municipal solid waste (MSW)                        Management (see ADDRESSES) and are
                                              a positive net benefit (estimated benefits              facilities nationwide. The selected                   available for viewing by interested
                                              minus estimated costs) to society.                      action, if finalized, will result in an               persons between 9 a.m. and 4 p.m.,
                                              Banning powdered glove products is not                  initial batch disposal of unused                      Monday through Friday; they are also
                                              expected to impose any costs to society.                powdered surgeon’s gloves, powdered                   available electronically at https://
                                              Extensive searches of glove distributor                 patient examination gloves, and                       www.regulations.gov. FDA has verified
                                              pricing indicate that improvements to                   absorbable powder for lubricating a                   the Web site addresses, as of the date
                                              non-powdered gloves have made these                     surgeon’s glove from user facilities to               this document publishes in the Federal
                                              products as affordable as powdered                      MSW facilities nationwide, followed by                Register, but Web sites are subject to
                                              gloves. The ban is expected to reduce                   a rapid decrease in the rate of disposal              change over time.
                                              the adverse events associated with using                of these devices, as supplies are
                                                                                                                                                            1. ‘‘Guidance for Industry and FDA Staff:
                                              powdered gloves. The Agency estimates                   depleted. The selected action does not                     Medical Glove Guidance Manual,’’
                                              maximum total annual net benefits to                    change the ultimate disposition of these                   January 22, 2008, available at: http://
                                              range between $26.8 million and $31.8                   devices but expedites their rate of                        www.fda.gov/downloads/
                                              million. The present discounted value                   disposal and ceases future production.                     MedicalDevices/DeviceRegulation
                                              of the estimated benefits over 10 years                 Overall, given the limited number of                       andGuidance/GuidanceDocuments/
                                              ranges from $228.9 million to $270.8                    powdered surgeon’s gloves, powdered                        UCM428191.pdf.
                                              million at a 3 percent discount rate and                patient examination gloves, and                       2. ‘‘ASTM D6124 Standard Test Method for
srobinson on DSK5SPTVN1PROD with RULES




                                              from $188.5 million to $223 million at                  absorbable powder for lubricating a                        Residual Powder on Medical Gloves,’’
                                                                                                      surgeon’s glove, currently in                              2011, available at: http://www.astm.org/
                                              a 7 percent discount rate.                                                                                         Standards/D6124.htm.
                                                 FDA has examined the economic                        commercial distribution, the selected                 3. Cote, S.J., M.D. Fisher, J.N. Kheir, et al.,
                                              implications of the rule as required by                 action is expected to have no significant                  ‘‘Ease of donning commercially available
                                              the Regulatory Flexibility Act. If a rule               impact on MSW and landfill facilities                      latex examination gloves,’’ Journal of
                                              will have a significant economic impact                 and the environment in affected                            Biomedical Matererials Research,
                                              on a substantial number of small                        communities.                                               43(3):331–337, 1998, available at: http://



                                         VerDate Sep<11>2014   20:05 Dec 16, 2016   Jkt 241001   PO 00000   Frm 00087   Fmt 4700   Sfmt 4700   E:\FR\FM\19DER1.SGM   19DER1


                                              91730            Federal Register / Vol. 81, No. 243 / Monday, December 19, 2016 / Rules and Regulations

                                                   www.ncbi.nlm.nih.gov/pubmed/                            urticaria: lessons from the French               List of Subjects
                                                   9730072.                                                National Network for Occupational
                                              4. Korniewicz, D.M., M.M. El-Masri, J.M.                     Disease Vigilance and Prevention                 21 CFR Parts 878 and 880
                                                   Broyles, et al., ‘‘A laboratory-based study             (RNV3P),’’ British Journal of
                                                   to assess the performance of surgical                   Dermatology, 173(6):1453–1461, 2015,
                                                                                                                                                                Medical devices.
                                                   gloves,’’ AORN Journal, 77(4):772–779,                  available at: http://                            21 CFR Part 895
                                                   2003, available at: http://                             www.ncbi.nlm.nih.gov/pubmed/
                                                   www.ncbi.nlm.nih.gov/pubmed/                            26212252.                                          Administrative practice and
                                                   12705733.                                          16. Palosuo, T., I. Antoniadou, F. Gottrup, et        procedure, Labeling, Medical devices.
                                              5. Kerr, L.N., M.P. Chaput, L.D. Cash, et al.,               al., ‘‘Latex medical gloves: time for a
                                                   ‘‘Assessment of the durability of medical                                                                  Therefore, under the Federal Food,
                                                                                                           reappraisal,’’ International Archives of
                                                   examination gloves,’’ Journal of                        Allergy and Immunology, 156(3):234–              Drug, and Cosmetic Act and under
                                                   Occupational and Environmental                          246, 2011, available at: http://                 authority delegated to the Commissioner
                                                   Hygiene, 1(9):607–612, 2004, available                  www.ncbi.nlm.nih.gov/pubmed/                     of Food and Drugs, 21 CFR parts 878,
                                                   at: http://www.ncbi.nlm.nih.gov/                        21720169.                                        880, and 895 are amended as follows:
                                                   pubmed/15559332.                                   17. GIA, Global Industry Analysts, Inc.,
                                              6. Fisher, M.D., V.R. Reddy, F.M. Williams,                  ‘‘Disposable Medical Gloves: A Global            PART 878—GENERAL AND PLASTIC
                                                   et al., ‘‘Biomechanical performance of                  Strategic Business Report,’’ 2008.               SURGERY DEVICES
                                                   powder-free examination gloves,’’ The              18. Saary, M.J., A. Kanani, H. Alghadeer, et
                                                   Journal of Emergency Medicine,                          al., ‘‘Changes in rates of natural rubber        ■ 1. The authority citation for part 878
                                                   17(6):1011–1018, 1999, available at:                    latex sensitivity among dental school
                                                   http://www.ncbi.nlm.nih.gov/pubmed/                                                                      continues to read as follows:
                                                                                                           students and staff members after changes
                                                   10595890.                                               in latex gloves,’’ Journal of Allergy and          Authority: 21 U.S.C. 351, 360, 360c, 360e,
                                              7. Korniewicz, D.M., M. El-Masri, J.M.                       Clinical Immunology, 109(1):131–135,             360j, 360l, 371.
                                                   Broyles, et al., ‘‘Performance of latex and             2002, available at: http://
                                                   nonlatex medical examination gloves                                                                      ■ 2. Amend § 878.4460 by revising the
                                                                                                           www.ncbi.nlm.nih.gov/pubmed/
                                                   during simulated use,’’ American Journal                11799379.                                        section heading and paragraph (a) to
                                                   of Infection Control, 30(2):133–138,               19. Tarlo, S.M., A. Easty, K. Eubanks, et al.,        read as follows:
                                                   2002. available at: http://                             ‘‘Outcomes of a natural rubber latex
                                                   www.ncbi.nlm.nih.gov/pubmed/                                                                             § 878.4460   Non-powdered surgeon’s
                                                                                                           control program in an Ontario teaching
                                                   11944004.                                                                                                glove.
                                                                                                           hospital,’’ Journal of Allergy and Clinical
                                              8. Patel, H.B., G.J. Fleming, and F.J. Burke,                Immunology, 108(4):628–633, 2001,                  (a) Identification. A non-powdered
                                                   ‘‘Puncture resistance and stiffness of
                                                   nitrile and latex dental examination
                                                                                                           available at: http://                            surgeon’s glove is a device intended to
                                                                                                           www.ncbi.nlm.nih.gov/pubmed/                     be worn on the hands of operating room
                                                   gloves,’’ British Dental Journal,
                                                                                                           11590392.                                        personnel to protect a surgical wound
                                                   196(11):695–700; discussion 685; quiz
                                                                                                      20. Allmers, H., J. Schmengler, and C.                from contamination. A non-powdered
                                                   707, 2004, available at: http://
                                                                                                           Skudlik, ‘‘Primary prevention of natural
                                                   www.ncbi.nlm.nih.gov/pubmed/                                                                             surgeon’s glove does not incorporate
                                                                                                           rubber latex allergy in the German health
                                                   15192735.                                                                                                powder for purposes other than
                                              9. Rego, A. and L. Roley, ‘‘In-use barrier                   care system through education and
                                                                                                           intervention,’’ Journal of Allergy and           manufacturing. The final finished glove
                                                   integrity of gloves: latex and nitrile                                                                   includes only residual powder from
                                                   superior to vinyl,’’ American Journal of                Clinical Immunology, 110(2):318–323,
                                                   Infection Control, 27(5):405–410, 1999,                 2002, available at: http://                      manufacturing.
                                                   available at: http://                                   www.ncbi.nlm.nih.gov/pubmed/                     *     *     *     *     *
                                                   www.ncbi.nlm.nih.gov/pubmed/                            12170275.
                                                   10511487.                                          21. Charous, B.L., P.J. Schuenemann, and              § 878.4480   [Removed]
                                              10. Sawyer, J. and A. Bennett, ‘‘Comparing                   M.C. Swanson, ‘‘Passive dispersion of
                                                                                                           latex aeroallergen in a healthcare               ■   3. Remove § 878.4480.
                                                   the level of dexterity offered by latex and
                                                   nitrile SafeSkin gloves,’’ Annals of                    facility,’’ Annals of Allergy, Asthma and
                                                                                                           Immunology, 85(4):285–290, 2000,                 PART 880—GENERAL HOSPITAL AND
                                                   Occupational Hygiene, 50(3):289–296,
                                                                                                           available at: http://                            PERSONAL USE DEVICES
                                                   2006, available at: http://
                                                   www.ncbi.nlm.nih.gov/pubmed/                            www.ncbi.nlm.nih.gov/pubmed/
                                                   16357028.                                               11061471.                                        ■ 4. The authority citation for part 880
                                              11. ASTM, ‘‘ASTM D3577–01a Standard                     22. Dave, J., M.H. Wilcox, and M. Kellett,            continues to read as follows:
                                                   Specification for Rubber Surgical                       ‘‘Glove powder: implications for
                                                                                                           infection control,’’ Journal of Hospital           Authority: 21 U.S.C. 351, 360, 360c, 360e,
                                                   Gloves,’’ 2001.                                                                                          360j, 371.
                                              12. ASTM, ‘‘ASTM D3578–01a Standard                          Infection, 42(4):283–285, 1999, available
                                                   Specification for Rubber Examination                    at: http://www.ncbi.nlm.nih.gov/                 ■ 5. Amend § 880.6250 by revising the
                                                   Gloves,’’ 2001.                                         pubmed/10467541.                                 section heading and paragraph (a) to
                                              13. Zarra, T. and T. Lambrianidis, ‘‘Skin               23. ‘‘Final Regulatory Impact Analysis, Final         read as follows:
                                                   reactions amongst Greek endodontists: a                 Regulatory Flexibility Analysis, and
                                                   national questionnaire survey,’’                        Final Unfunded Mandates Reform Act               § 880.6250 Non-powdered patient
                                                   International Endodontic Journal,                       Analysis for Banned Devices; Proposal to         examination glove.
                                                   48(4):390–398, 2015, available at: http://              Ban Powdered Surgeon’s Gloves,
                                                                                                           Powdered Patient Examination Gloves,                (a) Identification. A non-powdered
                                                   www.ncbi.nlm.nih.gov/pubmed/
                                                   24889504.                                               and Absorbable Powder for Lubricating a          patient examination glove is a
                                              14. Aghaee, A., H. Parsa, M. Nassiri Asl, et                 Surgeon’s Glove,’’ available at: http://         disposable device intended for medical
                                                   al., ‘‘Comparison of the Effects of                     www.fda.gov/AboutFDA/Reports                     purposes that is worn on the examiner’s
                                                   Powdered and Powder-free Surgical                       ManualsForms/Reports/Economic                    hand or finger to prevent contamination
srobinson on DSK5SPTVN1PROD with RULES




                                                   Gloves on Postlaparotomy Peritoneal                     Analyses/default.htm#.                           between patient and examiner. A non-
                                                   Adhesions in Rats,’’ Iranian Red                   24. FDA, ‘‘Finding of No Significant Impact           powdered patient examination glove
                                                   Crescent Medical Journal, 15(5):442–443,                (FONSI) and Environmental Analysis for           does not incorporate powder for
                                                   2013, available at: http://                             Banned Devices; Proposal to Ban
                                                                                                                                                            purposes other than manufacturing. The
                                                   www.ncbi.nlm.nih.gov/pubmed/                            Powdered Surgeon’s Gloves, Powdered
                                                   24349737.                                               Patient Examination Gloves, and                  final finished glove includes only
                                              15. Bensefa-Colas, L., M. Telle-Lamberton, S.                Absorbable Powder for Lubricating a              residual powder from manufacturing.
                                                   Faye, et al., ‘‘Occupational contact                    Surgeon’s Glove.’’                               *      *     *     *     *


                                         VerDate Sep<11>2014   20:05 Dec 16, 2016   Jkt 241001   PO 00000   Frm 00088   Fmt 4700   Sfmt 4700   E:\FR\FM\19DER1.SGM   19DER1


                                                               Federal Register / Vol. 81, No. 243 / Monday, December 19, 2016 / Rules and Regulations                                        91731

                                              PART 895—BANNED DEVICES                                 ACTION:   Final rule.                                 to as cribs for non-medical purposes)
                                                                                                                                                            must meet the Consumer Product Safety
                                              ■ 6. The authority citation for part 895                SUMMARY:    The Food and Drug                         Commission’s (CPSC’s) regulations and
                                              continues to read as follows:                           Administration (FDA) is issuing a final               guidelines.
                                                                                                      rule to rename pediatric hospital beds as                In the Federal Register of December
                                                Authority: 21 U.S.C. 352, 360f, 360h, 360i,
                                              371.                                                    pediatric medical cribs and establish                 28, 2010 (75 FR 81766), the CPSC issued
                                                                                                      special controls for these devices. FDA               a final rule prohibiting the use of the
                                              ■   7. Add § 895.102 to read as follows:
                                                                                                      is also establishing a separate                       drop-side rail design for non-medical
                                              § 895.102    Powdered surgeon’s glove.                  classification regulation for medical                 cribs in consumer households as of June
                                                (a) Identification. A powdered                        bassinets, previously under the                       28, 2011. CPSC’s rule established new
                                              surgeon’s glove is a device intended to                 pediatric hospital bed classification                 standards for full-size and non-full-size
                                              be worn on the hands of operating room                  regulation, as a class II (special controls)          cribs intended for non-medical
                                              personnel to protect a surgical wound                   device. In addition, this rule continues              purposes, which effectively prohibited
                                              from contamination. A powdered                          to allow both devices to be exempt from               the manufacture or sale of cribs
                                              surgeon’s glove incorporates powder for                 premarket notification and use of the                 intended for non-medical purposes with
                                              purposes other than manufacturing.                      device in traditional health care settings            a drop-side rail design in households,
                                                 (b) [Reserved]                                       and permits prescription use of                       child care facilities, family child care
                                              ■ 8. Add § 895.103 to read as follows:                  pediatric medical cribs and bassinets                 homes, and places of public
                                                                                                      outside of traditional health care                    accommodation. This rule did not affect
                                              § 895.103    Powdered patient examination               settings.                                             pediatric medical cribs regulated by
                                              glove.                                                                                                        FDA, which typically contain a drop-
                                                                                                      DATES: This order is effective on January
                                                 (a) Identification. A powdered patient                                                                     side rail design that includes movable
                                                                                                      18, 2017.
                                              examination glove is a disposable                                                                             and latchable side and end rails.
                                              device intended for medical purposes                    FOR FURTHER INFORMATION CONTACT:
                                                                                                      Michael J. Ryan, Center for Devices and               Although drop-side cribs intended for
                                              that is worn on the examiner’s hand or                                                                        non-medical purposes are now
                                              finger to prevent contamination between                 Radiological Health, Food and Drug
                                                                                                      Administration, 10903 New Hampshire                   prohibited, there is still a need for
                                              patient and examiner. A powdered                                                                              pediatric medical cribs with drop-side
                                              patient examination glove incorporates                  Ave., Bldg. 66, Rm. 1615, Silver Spring,
                                                                                                                                                            rails inside and outside of traditional
                                              powder for purposes other than                          MD 20993–0002, 301–796–6283.
                                                                                                                                                            health care settings. Pediatric medical
                                              manufacturing.                                          SUPPLEMENTARY INFORMATION:
                                                                                                                                                            cribs with drop-side rails are extremely
                                                 (b) [Reserved]                                       Table of Contents                                     helpful for patient care in hospital
                                              ■ 9. Add § 895.104 to read as follows:                                                                        settings and even outside of traditional
                                                                                                      I. Executive Summary
                                                                                                                                                            health care settings, such as day care
                                              § 895.104 Absorbable powder for                            A. Purpose and Coverage of the Final Rule
                                              lubricating a surgeon’s glove.                             B. Summary of the Major Provisions of the          centers caring for infants and children
                                                                                                            Final Rule                                      with disabilities, because they allow
                                                Absorbable powder for lubricating a                                                                         parents and care givers easy access to
                                              surgeon’s glove is a powder made from                      C. Legal Authority
                                                                                                         D. Costs and Benefits                              children to perform routine and
                                              cornstarch that meets the specifications                II. Background                                        emergency medical procedures,
                                              for absorbable powder in the United                        A. Need for the Regulation/History of This         including, but not limited to,
                                              States Pharmacopeia (U.S.P.) and that is                      Rulemaking                                      cardiopulmonary resuscitation (CPR),
                                              intended to be used to lubricate the                       B. Summary of Comments to the Proposed             blood collection, intravenous (IV)
                                              surgeon’s hand before putting on a                            Rule                                            insertion, respiratory care, and skin
                                              surgeon’s glove. The device is                             C. General Overview of Final Rule
                                                                                                                                                            care. These drop-side rail cribs also
                                              absorbable through biological                           III. Legal Authority
                                                                                                      IV. Comments on the Proposed Rule and FDA             make it easier for hospital staff to
                                              degradation.                                                                                                  facilitate safe patient transport and
                                                                                                            Response
                                                Dated: December 13, 2016.                                A. Introduction                                    reduce the chance of care giver injury.
                                              Leslie Kux,                                                B. Specific Comments and FDA Response                 Over the last 5 years, FDA has
                                              Associate Commissioner for Policy.                         C. Clarifying Changes to the Rule                  received over 500 adverse event reports,
                                              [FR Doc. 2016–30382 Filed 12–16–16; 8:45 am]            V. Effective/Compliance Dates                         or Medical Device Reports (MDRs),
                                                                                                      VI. Economic Analysis of Impacts                      associated with open pediatric medical
                                              BILLING CODE 4164–01–P
                                                                                                      VII. Analysis of Environmental Impact                 cribs, through the Agency’s
                                                                                                      VIII. Paperwork Reduction Act of 1995                 Manufacturer and User Facility Device
                                                                                                      IX. Federalism                                        Experience (MAUDE) database. There
                                              DEPARTMENT OF HEALTH AND                                X. References
                                              HUMAN SERVICES                                                                                                were adverse event reports of serious
                                                                                                      I. Executive Summary                                  injuries, including reports of
                                              Food and Drug Administration                                                                                  entrapment, which were predominantly
                                                                                                      A. Purpose and Coverage of the Final                  entrapments of extremities (legs or
                                                                                                      Rule                                                  arms). The majority of MDRs for
                                              21 CFR Part 880
                                                                                                         Pediatric medical cribs that meet the              medical cribs were for malfunctions
                                              [Docket No. FDA–2015–N–0701]                            definition of a device in section 201(h)              such as drop-side rails not latching or
                                                                                                      of the Federal Food, Drug, and Cosmetic               lowering, brakes not holding, wheels or
                                              General Hospital and Personal Use
                                                                                                      Act (the FD&C Act) (21 U.S.C. 321(h))                 casters breaking, and where applicable,
                                              Devices: Renaming of Pediatric
srobinson on DSK5SPTVN1PROD with RULES




                                                                                                      (referred to as pediatric medical cribs or            scales not reading correct weights. As a
                                              Hospital Bed Classification and
                                                                                                      cribs intended for medical purposes)                  result of the risks to health and need for
                                              Designation of Special Controls for
                                                                                                      (product code FMS) are regulated by                   continued use of pediatric medical cribs
                                              Pediatric Medical Crib; Classification
                                                                                                      FDA and will have to comply with the                  in traditional health care settings and
                                              of Medical Bassinet
                                                                                                      special controls identified in this rule              non-traditional settings, FDA is revising
                                              AGENCY:     Food and Drug Administration,               for pediatric medical cribs. Cribs that do            the identification for § 880.5140 (21 CFR
                                              HHS.                                                    not meet the device definition (referred              880.5140) to include only pediatric


                                         VerDate Sep<11>2014   20:05 Dec 16, 2016   Jkt 241001   PO 00000   Frm 00089   Fmt 4700   Sfmt 4700   E:\FR\FM\19DER1.SGM   19DER1



Document Created: 2016-12-17 03:15:41
Document Modified: 2016-12-17 03:15:41
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesThis rule is effective on January 18, 2017.
ContactMichael J. Ryan, Center for Devices and Radiological Health, Food and Drug Administration, 10903 New Hampshire Ave., Bldg. 66, Rm. 1615, Silver Spring, MD 20993, 301-796- 6283, email: [email protected]
FR Citation81 FR 91722 
RIN Number0910-AH02
CFR Citation21 CFR 878
21 CFR 880
21 CFR 895
CFR AssociatedMedical Devices; Administrative Practice and Procedure and Labeling

2025 Federal Register | Disclaimer | Privacy Policy
USC | CFR | eCFR