82_FR_60717 82 FR 60474 - Safety and Effectiveness of Health Care Antiseptics; Topical Antimicrobial Drug Products for Over-the-Counter Human Use

82 FR 60474 - Safety and Effectiveness of Health Care Antiseptics; Topical Antimicrobial Drug Products for Over-the-Counter Human Use

DEPARTMENT OF HEALTH AND HUMAN SERVICES
Food and Drug Administration

Federal Register Volume 82, Issue 243 (December 20, 2017)

Page Range60474-60503
FR Document2017-27317

The Food and Drug Administration (FDA, the Agency, or we) is issuing this final rule establishing that certain active ingredients used in nonprescription (also known as over-the-counter or OTC) antiseptic products intended for use by health care professionals in a hospital setting or other health care situations outside the hospital are not generally recognized as safe and effective (GRAS/GRAE). FDA is issuing this final rule after considering the recommendations of the Nonprescription Drugs Advisory Committee (NDAC); public comments on the Agency's notices of proposed rulemaking; and all data and information on OTC health care antiseptic products that have come to the Agency's attention. This final rule finalizes the 1994 tentative final monograph (TFM) for OTC health care antiseptic drug products that published in the Federal Register of June 17, 1994 (the 1994 TFM) as amended by the proposed rule published in the Federal Register (FR) of May 1, 2015 (2015 Health Care Antiseptic Proposed Rule (PR)).

Federal Register, Volume 82 Issue 243 (Wednesday, December 20, 2017)
[Federal Register Volume 82, Number 243 (Wednesday, December 20, 2017)]
[Rules and Regulations]
[Pages 60474-60503]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-27317]



[[Page 60473]]

Vol. 82

Wednesday,

No. 243

December 20, 2017

Part II





Department of Health and Human Services





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Food and Drug Administration





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21 CFR Part 310





Safety and Effectiveness of Health Care Antiseptics; Topical 
Antimicrobial Drug Products for Over-the-Counter Human Use; Final Rule

Federal Register / Vol. 82 , No. 243 / Wednesday, December 20, 2017 / 
Rules and Regulations

[[Page 60474]]


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DEPARTMENT OF HEALTH AND HUMAN SERVICES

Food and Drug Administration

21 CFR Part 310

[Docket No. FDA-2015-N-0101]
RIN 0910-AH40


Safety and Effectiveness of Health Care Antiseptics; Topical 
Antimicrobial Drug Products for Over-the-Counter Human Use

AGENCY: Food and Drug Administration, HHS.

ACTION: Final rule.

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

SUMMARY: The Food and Drug Administration (FDA, the Agency, or we) is 
issuing this final rule establishing that certain active ingredients 
used in nonprescription (also known as over-the-counter or OTC) 
antiseptic products intended for use by health care professionals in a 
hospital setting or other health care situations outside the hospital 
are not generally recognized as safe and effective (GRAS/GRAE). FDA is 
issuing this final rule after considering the recommendations of the 
Nonprescription Drugs Advisory Committee (NDAC); public comments on the 
Agency's notices of proposed rulemaking; and all data and information 
on OTC health care antiseptic products that have come to the Agency's 
attention. This final rule finalizes the 1994 tentative final monograph 
(TFM) for OTC health care antiseptic drug products that published in 
the Federal Register of June 17, 1994 (the 1994 TFM) as amended by the 
proposed rule published in the Federal Register (FR) of May 1, 2015 
(2015 Health Care Antiseptic Proposed Rule (PR)).

DATES: This rule is effective December 20, 2018.

ADDRESSES: For access to the docket to read background documents or the 
electronic and written/paper comments received, go to https://www.regulations.gov and insert the docket number found in brackets in 
the heading of this final rule, into the ``Search'' box and follow the 
prompts, and/or go to the Dockets Management Staff, 5630 Fishers Lane, 
Rm. 1061, Rockville, MD 20852.

FOR FURTHER INFORMATION CONTACT: Michelle M. Jackson, Center for Drug 
Evaluation and Research, Food and Drug Administration, 10903 New 
Hampshire Ave., Bldg. 22, Rm. 5420, Silver Spring, MD 20993-0002, 301-
796-0923.

SUPPLEMENTARY INFORMATION:

Table of Contents

I. Executive Summary
    A. Purpose of the Final Rule
    B. Summary of the Major Provisions of the Final Rule
    C. Costs and Benefits
II. Table of Abbreviations and Acronyms Commonly Used in This 
Document
III. Introduction
    A. Terminology Used in the OTC Drug Review Regulations
    B. Topical Antiseptics
    C. This Final Rule Covers Only Health Care Antiseptics
IV. Background
    A. Significant Rulemakings Relevant to This Final Rule
    B. Public Meetings Relevant to This Final Rule
    C. Scope of This Final Rule
    D. Eligibility for the OTC Drug Review
V. Comments on the Proposed Rule and FDA Response
    A. Introduction
    B. General Comments on the Proposed Rule and FDA Response
    C. Comments on Eligibility of Active Ingredients and FDA 
Response
    D. Comments on Effectiveness and FDA Response
    E. Comments on Safety and FDA Response
    F. Comments on the Preliminary Regulatory Impact Analysis and 
FDA Response
VI. Ingredients Not Generally Recognized as Safe and Effective
VII. Compliance Date
VIII. Summary of Regulatory Impact Analysis
    A. Introduction
    B. Summary of Costs and Benefits
IX. Paperwork Reduction Act of 1995
X. Analysis of Environmental Impact
XI. Federalism
XII. References

I. Executive Summary

A. Purpose of the Final Rule

    This final rule finalizes the 2015 Health Care Antiseptic PR. This 
final rule applies to health care antiseptic products that are intended 
for use by health care professionals in a hospital setting or other 
health care situations outside the hospital. Health care antiseptic 
products include health care personnel hand washes, health care 
personnel hand rubs, surgical hand scrubs, surgical hand rubs, and 
patient antiseptic skin preparations (i.e., patient preoperative and 
preinjection skin preparations).
    In response to several requests submitted to the 2015 Health Care 
Antiseptic PR, FDA has deferred further rulemaking on six active 
ingredients used in OTC health care antiseptic products to allow for 
the development and submission to the record of new safety and 
effectiveness data for these ingredients. The deferred active 
ingredients are benzalkonium chloride, benzethonium chloride, 
chloroxylenol, alcohol (also referred to as ethanol or ethyl alcohol), 
isopropyl alcohol, and povidone-iodine. Accordingly, FDA does not make 
a GRAS/GRAE determination in this final rule for these six active 
ingredients for use as OTC health care antiseptics. The monograph or 
nonmonograph status of these six ingredients will be addressed, either 
after completion and analysis of ongoing studies to address the safety 
and effectiveness data gaps of these ingredients or at a later date, if 
these studies are not completed.
    This rulemaking finalizes the nonmonograph status of the remaining 
24 active ingredients intended for use in health care antiseptics 
identified in the 2015 Health Care Antiseptic PR. No additional data 
were submitted to support monograph conditions for these 24 health care 
antiseptic active ingredients. Therefore, this rule finalizes the 2015 
Health Care Antiseptic PR and finds that 24 health care antiseptic 
active ingredients are not GRAS/GRAE for use as OTC health care 
antiseptics. Accordingly, OTC health care antiseptic drugs containing 
any of these 24 active ingredients are new drugs under section 201(p) 
of the Federal Food, Drug, and Cosmetic Act (FD&C Act) (21 U.S.C. 
321(p)) for which approved applications under section 505 of the FD&C 
Act (21 U.S.C. 355) and part 314 (21 CFR 314) of the regulations are 
required for marketing and may be misbranded under section 502 of the 
FD&C Act (21 U.S.C. 352).
    This final rule covers only OTC health care antiseptics that are 
intended for use by health care professionals in a hospital setting or 
other health care situations outside the hospital. This final rule does 
not cover consumer antiseptic washes (78 FR 76444, 81 FR 61106); 
consumer antiseptic rubs (81 FR 42912); antiseptics identified as 
``first aid antiseptics'' in the 1991 First Aid tentative final 
monograph (TFM) (56 FR 33644); or antiseptics used by the food 
industry.

B. Summary of the Major Provisions of the Final Rule

1. Safety
    Several important scientific developments that affect the safety 
evaluation of OTC health care antiseptic active ingredients have 
occurred since FDA's 1994 safety evaluation. Improved analytical 
methods now exist that can detect and more accurately measure these 
active ingredients at lower levels in the bloodstream and tissue. 
Consequently, new data suggest that the

[[Page 60475]]

systemic exposure to these active ingredients is higher than previously 
thought, and new information about the potential risks from systemic 
absorption and long-term exposure is now available. New safety 
information also suggests that widespread antiseptic use could have an 
impact on the development of bacterial resistance. To support a 
classification of generally recognized as safe (GRAS) for health care 
antiseptic active ingredients, we proposed that additional data were 
needed to demonstrate that those ingredients meet current safety 
standards (80 FR 25166 at 25179 to 25195).
    The minimum data needed to demonstrate safety for all health care 
antiseptic active ingredients fall into four broad categories: (1) 
Human safety studies described in current FDA guidance (e.g., maximal 
usage trial or ``MUsT''); (2) nonclinical safety studies described in 
current FDA guidance (e.g., developmental and reproductive toxicity 
studies and carcinogenicity studies); (3) data to characterize 
potential hormonal effects; and (4) data to evaluate the development of 
antimicrobial resistance.
    We have considered the recommendations from the public meetings 
held by the Agency on antiseptics (see section IV.B, table 2) and 
evaluated the available literature, as well as the data, the comments, 
and other information that were submitted to the rulemaking on the 
safety of the 24 non-deferred health care antiseptic active ingredients 
addressed in this final rule. The available information and published 
data for these 24 active ingredients considered in this final rule are 
insufficient to establish the safety of these active ingredients for 
use in health care antiseptic products. No additional data were 
provided for these 24 ingredients. Consequently, the available data do 
not support a GRAS determination for the OTC non-deferred health care 
antiseptic active ingredients addressed in this final rule.
2. Effectiveness
    A determination that an active ingredient is GRAS/GRAE for a 
particular intended use requires a benefit-to-risk assessment for the 
drug for that use. New information on potential risks posed by the 
increased use of certain health care antiseptics in clinical practice, 
as well as input from the 2005 NDAC, prompted us to reevaluate the data 
needed to determine whether health care antiseptic active ingredients 
are generally recognized as effective (GRAE). We continued to propose 
the use of surrogate endpoints (bacterial log reductions) as a 
demonstration of effectiveness for health care antiseptics combined 
with in vitro testing to characterize the antimicrobial activity of the 
active ingredient (80 FR 25166).
    We have considered the recommendations from the public meetings 
held by the Agency on antiseptics (see section IV.B, table 2) and 
evaluated the available literature, as well as the data, the comments, 
and other information that were submitted to the rulemaking on the 
effectiveness of the 24 non-deferred health care antiseptic active 
ingredients addressed in this final rule. Since the publication of the 
2015 Health Care Antiseptic PR, no new data or information was 
submitted on the effectiveness of these 24 non-deferred health care 
antiseptic active ingredients. Consequently, there is insufficient data 
to support a GRAE determination for these ingredients.

C. Costs and Benefits

    This rule establishes that 24 eligible active ingredients are not 
generally recognized as safe and effective for use in nonprescription 
(also referred to as over-the-counter or OTC) health care antiseptics. 
However, data from the FDA drug product registration database suggest 
that only one of these 24 ingredients is found in OTC health care 
antiseptic products currently marketed pursuant to the TFM: Triclosan. 
Regulatory action is being deferred on six active ingredients that were 
included in the health care antiseptic proposed rule: Benzalkonium 
chloride, benzethonium chloride, chloroxylenol, ethyl alcohol, 
isopropyl alcohol, and povidone-iodine. This final rule also addresses 
comments on the eligibility of three active ingredients--alcohol (ethyl 
alcohol), benzethonium chloride, and chlorhexidine gluconate--and finds 
that these three active ingredients are ineligible for evaluation under 
the OTC Drug Review for certain health care antiseptic uses because 
these active ingredients were not included in health care antiseptic 
products marketed for the specified indications prior to May 1972. To 
our knowledge, there is only one ineligible product currently on the 
market, an alcohol-containing surgical hand scrub, which is affected by 
this rule.
    Benefits are quantified as the volume reduction in exposure to 
triclosan found in health care antiseptic products affected by the 
rule, but these benefits are not monetized. Annual benefits are 
estimated to be a reduction in exposure of 88,000 kilograms (kg) of 
triclosan per year.
    Costs are calculated as the one-time costs associated with 
reformulating health care antiseptic products containing the active 
ingredient triclosan and relabeling reformulated products. We believe 
that the alcohol-containing surgical hand scrub that is affected by 
this rule is likely to be removed from the market. We categorize the 
associated loss of sales revenue as a transfer from one manufacturer to 
another and not a cost, because we assume that the supply of other, 
highly substitutable, products is highly elastic.
    Annualizing the one-time costs over a 10-year period, we estimate 
total annualized costs to range from $1.1 to $4.1 million at a 3 
percent discount rate, and from $1.2 to $4.7 million at a 7 percent 
discount rate. The present value of total costs ranges from $9.0 to 
$34.6 million at a 3 percent discount rate, and from $8.7 to $29.6 
million at a 7 percent discount rate.
    In this final rule, small entities will bear costs to the extent 
that they must reformulate and re-label any health care antiseptic 
containing triclosan that they produce. The average cost to small firms 
of implementing the requirements of this final rule is estimated to be 
$213,176 per firm. The costs of the changes, along with the small 
number of firms affected, implies that this burden would not be 
significant, so we certify that this final rule will not have a 
significant economic impact on a substantial number of small entities. 
This analysis, together with other relevant sections of this document, 
serves as the Regulatory Flexibility Analysis, as required under the 
Regulatory Flexibility Act.
    The full discussion of economic impacts is available in docket FDA-
2015-N-0101 and at https://www.fda.gov/AboutFDA/ReportsManualsForms/Reports/EconomicAnalyses/default.htm.

[[Page 60476]]

[GRAPHIC] [TIFF OMITTED] TR20DE17.000


                                       Executive Order 13771 Summary Table
                           [In $ millions 2016 dollars, over an infinite time horizon]
----------------------------------------------------------------------------------------------------------------
                                                                                    Lower bound     Upper bound
                                                                   Primary (7%)        (7%)            (7%)
----------------------------------------------------------------------------------------------------------------
Present Value of Costs..........................................          $17.19           $8.68          $29.47
Present Value of Cost Savings...................................  ..............  ..............  ..............
Present Value of Net Costs......................................           17.19            8.68           29.47
Annualized Costs................................................            1.20            0.61            2.06
Annualized Cost Savings.........................................  ..............  ..............  ..............
Annualized Net Costs............................................            1.20            0.61            2.06
----------------------------------------------------------------------------------------------------------------

II. Table of Abbreviations and Acronyms Commonly Used in This Document

------------------------------------------------------------------------
         Abbreviation                        What it means
------------------------------------------------------------------------
ADME.........................  Absorption, distribution, metabolism, and
                                excretion.
ANPR.........................  Advance notice of proposed rulemaking.
APA..........................  Administrative Procedure Act.
ASTM.........................  American Society for Testing and
                                Materials International.
ATCC.........................  American Type Culture Collection.
ATE..........................  Average Treatment Effect.
CDC..........................  Centers for Disease Control and
                                Prevention.
CFR..........................  Code of Federal Regulations.

[[Page 60477]]

 
DART.........................  Developmental and reproductive toxicity.
FDA..........................  Food and Drug Administration.
FD&C Act.....................  Federal Food, Drug, and Cosmetic Act.
FR...........................  Federal Register.
GRAE.........................  Generally recognized as effective.
GRAS.........................  Generally recognized as safe.
ICH..........................  International Council for Harmonisation
                                of Technical Requirements for
                                Pharmaceuticals for Human Use.
MBC..........................  Minimum bactericidal concentration.
MIC..........................  Minimum inhibitory concentration.
MusT.........................  Maximal usage trial.
NCE..........................  New chemical entity.
NDA..........................  New drug application.
NDAC.........................  Nonprescription Drugs Advisory Committee.
NHS..........................  Nurses' Health Study.
NIH..........................  National Institutes of Health.
NOAEL........................  No observed adverse effect level.
OMB..........................  Office of Management and Budget.
OTC..........................  Over-the-counter.
PBPK.........................  Physiologically-based pharmacokinetic.
PK...........................  Pharmacokinetic.
PR...........................  Proposed rule.
TFM..........................  Tentative final monograph.
U.S.C........................  United States Code.
USP..........................  United States Pharmacopeia.
------------------------------------------------------------------------

III. Introduction

    In the following sections, we provide a brief description of 
terminology used in the OTC Drug Review regulations, an overview of OTC 
topical antiseptic drug products, and a more detailed description of 
the OTC health care antiseptic active ingredients that are the subject 
of this final rule.

A. Terminology Used in the OTC Drug Review Regulations

1. Proposed, Tentative Final, and Final Monographs
    To conform to terminology used in the OTC Drug Review regulations 
(Sec.  330.10 (21 CFR 330.10)), the advance notice of proposed 
rulemaking (ANPR) that was published in the Federal Register of 
September 13, 1974 (39 FR 33103) (the 1974 ANPR), was designated as a 
``proposed monograph.'' Similarly, the notices of proposed rulemaking, 
which were published in the Federal Register of January 6, 1978 (43 FR 
1210) (the 1978 TFM); the Federal Register of June 17, 1994 (59 FR 
31402) (the 1994 TFM); and the Federal Register of May 1, 2015 (80 FR 
25166) (the 2015 Health Care Antiseptic PR), were each designated as a 
TFM (see table 1 in section IV.A).
2. Category I, II, and III Classifications
    The OTC drug regulations in Sec.  330.10 use the terms ``Category 
I'' (generally recognized as safe and effective and not misbranded), 
``Category II'' (not generally recognized as safe and effective or 
misbranded), and ``Category III'' (available data are insufficient to 
classify as safe and effective, and further testing is required). 
Section 330.10 provides that any testing necessary to resolve the 
safety or effectiveness issues that resulted in an initial Category III 
classification, and submission to FDA of the results of that testing or 
any other data, must be done during the OTC drug rulemaking process 
before the establishment of a final monograph (i.e., a final rule or 
regulation). Therefore, the proposed rules (at the tentative final 
monograph stage) used the concepts of Categories I, II, and III.
    At this final monograph stage, FDA does not use the terms 
``Category I,'' ``Category II,'' and ``Category III.'' Instead, the 
term ``monograph conditions'' is used in place of Category I, and 
``nonmonograph conditions'' is used in place of Categories II and III.

B. Topical Antiseptics

    The OTC topical antimicrobial rulemaking has had a broad scope, 
encompassing drug products that may contain the same active 
ingredients, but that are labeled and marketed for different intended 
uses. The 1974 ANPR for topical antimicrobial products encompassed 
products for both health care and consumer use (39 FR 33103). The 1974 
ANPR covered seven different intended uses for these products: (1) 
Antimicrobial soap; (2) health care personnel hand wash; (3) patient 
preoperative skin preparation; (4) skin antiseptic; (5) skin wound 
cleanser; (6) skin wound protectant; and (7) surgical hand scrub (39 FR 
33103 at 33140). FDA subsequently identified skin antiseptics, skin 
wound cleansers, and skin wound protectants as antiseptics used 
primarily by consumers for first aid use and referred to them 
collectively as ``first aid antiseptics.'' We published a separate TFM 
covering first aid antiseptics in the Federal Register of July 22, 1991 
(56 FR 33644). We do not discuss first aid antiseptics further in this 
document, and this final rule does not have an impact on the status of 
first aid antiseptics.
    The four remaining categories of topical antimicrobials were 
addressed in the 1994 TFM (59 FR 31402). The 1994 TFM covered: (1) 
Antiseptic hand wash (i.e., consumer hand wash); (2) health care 
personnel hand wash; (3) patient preoperative skin preparation; and (4) 
surgical hand scrub (59 FR 31402 at 31442). In the 1994 TFM, FDA also 
identified a new category of antiseptics for use by the food industry 
and requested relevant data and information (59 FR 31402 at 31440). In 
section V.B.5, we address comments filed in this rulemaking on 
antiseptics for use by the food industry, but we do not otherwise 
discuss these antiseptics in this document. This final rule does not 
have an impact on the status of antiseptics for food industry use.
    The 1994 TFM did not distinguish between consumer antiseptic washes 
and rubs and health care antiseptic washes and rubs. In the 2013 
Consumer Wash PR, we proposed that our evaluation of OTC antiseptic 
drug products be further subdivided into health care antiseptics and 
consumer antiseptics (78 FR 76444 at 76446). These categories are 
distinct based on the proposed use setting, target population, and the 
fact that each

[[Page 60478]]

setting presents a different level of risk for infection. In the 2013 
Consumer Wash PR (78 FR 76444 at 76446 to 76447) and the 2016 Consumer 
Rub PR (81 FR 42912 at 42915 to 42916), we proposed that our evaluation 
of OTC consumer antiseptic drug products be further subdivided into 
consumer washes (products that are rinsed off with water, including 
hand washes and body washes) and consumer rubs (products that are not 
rinsed off after use, including hand rubs and antibacterial wipes). 
This final rule does not have an impact on the status of consumer 
antiseptic wash or consumer antiseptic rub products.

C. This Final Rule Covers Only Health Care Antiseptics

    We refer to the group of products covered by this final rule as 
``health care antiseptics.'' Health care antiseptics are drug products 
that are generally intended for use by health care professionals in a 
hospital setting or other health care situations outside the hospital. 
Patient antiseptic skin preparations, which are products that are used 
for preparation of the skin prior to surgery (i.e., preoperative) and 
preparation of skin prior to an injection (i.e., preinjection), may be 
used by patients outside the traditional health care setting. Some 
patients (e.g., diabetics who manage their disease with insulin 
injections) self-inject medications that have been prescribed by a 
health care professional for use at home or at other locations and use 
patient preoperative skin preparations prior to injection.
    In this final rule, we use the term ``health care antiseptics'' to 
include the following products:

 Health care personnel hand washes
 Health care personnel hand rubs
 Surgical hand scrubs
 Surgical hand rubs
 Patient antiseptic skin preparations (i.e., patient 
preoperative and preinjection skin preparations) \1\
---------------------------------------------------------------------------

    \1\ Because the category of products referred to as ``patient 
preoperative skin preparations'' in the 1994 TFM and the 2015 Health 
Care Antiseptic PR encompasses products that are used for 
preinjection skin preparation in health care settings outside the 
hospital (so not preoperative), in this final rule we refer to such 
products as ``patient antiseptic skin preparations.''
---------------------------------------------------------------------------

    This final rule covers health care antiseptic products that are 
rubs and others that are washes. The 1994 TFM did not distinguish 
between products that we are now calling health care ``antiseptic 
washes'' and products we are now calling health care ``antiseptic 
rubs.'' Washes are rinsed off with water, and include health care 
personnel hand washes and surgical hand scrubs. Rubs are sometimes 
referred to as ``leave-on products'' and are not rinsed off after use. 
Rubs include health care personnel hand rubs, surgical hand rubs, and 
patient antiseptic skin preparations.
    Completion of the monograph for health care antiseptic products and 
certain other monographs for the active ingredient triclosan is subject 
to a Consent Decree entered by the U.S. District Court for the Southern 
District of New York on November 21, 2013, in Natural Resources Defense 
Council, Inc. v. United States Food and Drug Administration, et al., 10 
Civ. 5690 (S.D.N.Y.).

IV. Background

    In this section, we describe the significant rulemakings and public 
meetings relevant to this rulemaking and discuss our response to 
comments received on the 2015 Health Care Antiseptic PR.

A. Significant Rulemakings Relevant to This Final Rule

    A summary of the significant Federal Register publications relevant 
to this final rule is provided in table 1. Other publications relevant 
to this final rule are available at https://www.regulations.gov in FDA 
Docket No. 1975-N-0012 (formerly Docket No. 1975-N-0183H).

   Table 1--Significant Rulemaking Publications Related to Health Care
                      Antiseptic Drug Products \1\
------------------------------------------------------------------------
     Federal Register  notice               Information in notice
------------------------------------------------------------------------
1974 ANPR (September 13, 1974, 39   We published an ANPR to establish a
 FR 33103).                          monograph for OTC topical
                                     antimicrobial drug products,
                                     together with the recommendations
                                     of the advisory review panel (the
                                     Panel) responsible for evaluating
                                     data on the active ingredients in
                                     this drug class.
1978 Antimicrobial TFM (January 6,  We published our tentative
 1978, 43 FR 1210).                  conclusions and proposed
                                     effectiveness testing for the drug
                                     product categories evaluated by the
                                     Panel, reflecting our evaluation of
                                     the Panel's recommendations and
                                     comments and data submitted in
                                     response to the Panel's
                                     recommendations.
1991 First Aid TFM (July 22, 1991,  We amended the 1978 TFM to establish
 56 FR 33644).                       a separate monograph for OTC first
                                     aid antiseptic products. In the
                                     1991 TFM, we proposed that first
                                     aid antiseptic drug products be
                                     indicated for the prevention of
                                     skin infections in minor cuts,
                                     scrapes, and burns.
1994 Healthcare Antiseptic TFM      We amended the 1978 TFM to establish
 (June 17, 1994, 59 FR 31402).       a separate monograph for the group
                                     of products referred to as OTC
                                     topical health care antiseptic drug
                                     products. These antiseptics are
                                     generally intended for use by
                                     health care professionals.
                                    In the 1994 TFM, we also recognized
                                     the need for antibacterial personal
                                     cleansing products for consumers to
                                     help prevent cross-contamination
                                     from one person to another and
                                     proposed a new antiseptic category
                                     for consumer use: Antiseptic hand
                                     wash.
2013 Consumer Antiseptic Wash TFM   We issued a proposed rule to amend
 (December 17, 2013, 78 FR 76444).   the 1994 TFM and to establish data
                                     standards for determining whether
                                     OTC consumer antiseptic washes are
                                     GRAS/GRAE.
                                    In the 2013 Consumer Antiseptic Wash
                                     TFM, we proposed that additional
                                     safety and effectiveness data are
                                     necessary to support the safety and
                                     effectiveness of consumer
                                     antiseptic wash active ingredients.
2015 Health Care Antiseptic TFM     We issued a proposed rule to amend
 (May 1, 2015, 80 FR 25166).         the 1994 TFM and to establish data
                                     standards for determining whether
                                     OTC health care antiseptics are
                                     GRAS/GRAE.
                                    In the 2015 Health Care Antiseptic
                                     TFM, we proposed that additional
                                     data are necessary to support the
                                     safety and effectiveness of health
                                     care antiseptic active ingredients.
2016 Consumer Antiseptic Rub TFM    We issued a proposed rule to amend
 (June 30, 2016, 81 FR 42912).       the 1994 TFM and to establish data
                                     standards for determining whether
                                     OTC consumer antiseptic rubs are
                                     GRAS/GRAE.
                                    In the 2016 Consumer Antiseptic Rub
                                     TFM, we proposed that additional
                                     safety and effectiveness data are
                                     necessary to support the safety and
                                     effectiveness of consumer
                                     antiseptic rub active ingredients.

[[Page 60479]]

 
2016 Consumer Antiseptic Wash       We issued a final rule finding that
 Final Monograph (September 6,       certain active ingredients used in
 2016, 81 FR 61106).                 OTC consumer antiseptic wash
                                     products are not GRAS/GRAE.
                                    We deferred further rulemaking on
                                     three specific active ingredients
                                     (benzalkonium chloride,
                                     benzethonium chloride, and
                                     chloroxylenol) used in OTC consumer
                                     antiseptic wash products to allow
                                     for the development and submission
                                     of new safety and effectiveness
                                     data to the record for those
                                     ingredients.
------------------------------------------------------------------------
\1\ The publications listed in table 1 can be found at FDA's ``Status of
  OTC Rulemakings'' website available at http://www.fda.gov/Drugs/DevelopmentApprovalProcess/DevelopmentResources/Over-the-CounterOTCDrugs/StatusofOTCRulemakings/ucm070821.htm. The publications
  dated after 1993 can also be found in the Federal Register at https://www.federalregister.gov.

B. Public Meetings Relevant to This Final Rule

    In addition to the Federal Register publications listed in table 1, 
there have been three meetings of the NDAC that are relevant to the 
discussion of health care antiseptic safety and effectiveness. These 
meetings are summarized in table 2.

      Table 2--Public Meetings Relevant to Health Care Antiseptics
------------------------------------------------------------------------
        Date and type of meeting               Topic of discussion
------------------------------------------------------------------------
January 1997, NDAC Meeting (Joint        Antiseptic and antibiotic
 meeting with the Anti-Infective Drugs    resistance in relation to an
 Advisory Committee) (January 6, 1997,    industry proposal for consumer
 62 FR 764).                              and health care antiseptic
                                          effectiveness testing (Health
                                          Care Continuum Model) (Refs. 1
                                          and 2).
March 2005, NDAC Meeting (February 18,   The use of surrogate endpoints
 2005, 70 FR 8376).                       and study design issues for
                                          the in vivo testing of health
                                          care antiseptics (Ref. 3).
September 2014, NDAC Meeting (July 29,   Safety testing framework for
 2014, 79 FR 44042).                      health care antiseptic active
                                          ingredients (Ref. 4).
------------------------------------------------------------------------

C. Scope of This Final Rule

    This rulemaking finalizes the nonmonograph status of the 24 listed 
health care antiseptic active ingredients (see section IV.D.1). 
Requests were made that benzalkonium chloride, benzethonium chloride, 
chloroxylenol, alcohol, isopropyl alcohol, and povidone-iodine be 
deferred from consideration in this health care antiseptic final rule 
to allow more time for interested parties to complete the studies 
necessary to fill the safety and effectiveness data gaps identified in 
the 2015 Health Care Antiseptic PR for these ingredients. In January 
2017, we agreed to defer rulemaking on these six ingredients (see 
Docket No. 2015-N-0101 at https://www.regulations.gov).
    For the 24 active ingredients included in this final rule, no 
additional data were submitted to the record to fill the safety and 
effectiveness data gaps identified in the 2015 Health Care Antiseptic 
PR for these 24 active ingredients. Therefore, we find that these 24 
active ingredients are not GRAS/GRAE for use in health care antiseptic 
drug products and these ingredients are not included in the OTC topical 
antiseptic monograph at this time. Products containing these 
ingredients are new drugs for which approved new drug applications 
(NDAs) or abbreviated new drug applications (ANDAs) are required prior 
to marketing. Accordingly, FDA is amending part 310 (21 CFR part 310) 
to add the active ingredients covered by this final rule to the list of 
active ingredients in Sec.  310.545 (21 CFR 310.545) that are not GRAS/
GRAE for use in the specified OTC drug products.

D. Eligibility for the OTC Drug Review

    An OTC drug is covered by the OTC Drug Review if its conditions of 
use existed in the OTC drug marketplace on or before May 11, 1972 (37 
FR 9464) (Ref. 5).\2\ Conditions of use include, among other things, 
active ingredient, dosage form and strength, route of administration, 
and specific OTC use or indication of the product (see Sec.  
330.14(a)). To determine eligibility for the OTC Drug Review, FDA 
typically must have actual product labeling or a facsimile of labeling 
that documents the conditions of marketing of a product before May 1972 
(see Sec.  330.10(a)(2)). FDA considers a drug that is ineligible for 
inclusion in the OTC monograph system to be a new drug that requires 
FDA approval of an NDA or ANDA. Ineligibility for use as a health care 
antiseptic does not affect eligibility under any other OTC drug 
monograph.
---------------------------------------------------------------------------

    \2\ Also, note that drugs initially marketed in the United 
States after the OTC Drug Review began in 1972 and drugs without any 
U.S. marketing experience can be considered in the OTC monograph 
system based on submission of a time and extent application. (See 
Sec.  330.14.)
---------------------------------------------------------------------------

1. Eligible Active Ingredients
    Table 3 lists the health care antiseptic active ingredients that 
have been considered under this rulemaking and shows whether each 
ingredient is eligible or ineligible for evaluation under the OTC Drug 
Review for use in health care antiseptics for each of the five 
specified uses: Patient antiseptic skin preparation, health care 
personnel hand wash, health care personnel hand rub, surgical hand 
scrub, and surgical hand rub.

[[Page 60480]]



                                Table 3--Eligibility of Antiseptic Active Ingredients for Health Care Antiseptic Uses \1\
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                            Patient           Health care         Health care
                  Active ingredient                    antiseptic  skin     personnel  hand     personnel  hand     Surgical  hand    Surgical  hand rub
                                                          preparation            wash                 rub                scrub
--------------------------------------------------------------------------------------------------------------------------------------------------------
Alcohol 60 to 95 percent............................              \2\ Y               \3\ N                   Y                   N                   Y
Benzalkonium chloride...............................                  Y                   Y                   Y                   Y                   N
Benzethonium chloride...............................                  Y                   Y                   N                   Y                   N
Chlorhexidine gluconate.............................                  N                   N                   N                   N                   N
Chloroxylenol.......................................                  Y                   Y                   N                   Y                   N
Cloflucarban........................................                  Y                   Y                   N                   Y                   N
Fluorosalan.........................................                  Y                   Y                   N                   Y                   N
Hexylresorcinol.....................................                  Y                   Y                   N                   Y                   N
Iodine complex (ammonium ether sulfate and                            N                   Y                   N                   Y                   N
 polyoxyethylene sorbitan monolaurate)..............
Iodine complex (phosphate ester of alkylaryloxy                       Y                   Y                   N                   Y                   N
 polyethylene glycol)...............................
Iodine tincture United States Pharmacopeia (USP)....                  Y                   N                   N                   N                   N
Iodine topical solution USP.........................                  Y                   N                   N                   N                   N
Nonylphenoxypoly (ethyleneoxy) ethanoliodine........                  Y                   Y                   N                   Y                   N
Poloxamer-iodine complex............................                  Y                   Y                   N                   Y                   N
Povidone-iodine 5 to 10 percent.....................                  Y                   Y                   N                   Y                   N
Undecoylium chloride iodine complex.................                  Y                   Y                   N                   Y                   N
Isopropyl alcohol 70-91.3 percent...................                  Y                   N                   Y                   N                   Y
Mercufenol chloride.................................                  Y                   N                   N                   N                   N
Methylbenzethonium chloride.........................                  Y                   Y                   N                   Y                   N
Phenol (equal to or less than 1.5 percent)..........                  Y                   Y                   N                   Y                   N
Phenol (greater than 1.5 percent)...................                  Y                   Y                   N                   Y                   N
Secondary amyltricresols............................                  Y                   Y                   N                   Y                   N
Sodium oxychlorosene................................                  Y                   Y                   N                   Y                   N
Triclocarban........................................                  Y                   Y                   N                   Y                   N
Triclosan...........................................                  Y                   Y                   N                   Y                   N
Combinations:
    Calomel, oxyquinoline benzoate, triethanolamine,                  Y                   N                   N                   N                   N
     and phenol derivative..........................
    Mercufenol chloride and secondary amyltricresols                  Y                   N                   N                   N                   N
     in 50 percent alcohol..........................
    Triple dye......................................                  Y                   N                   N                   N                   N
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Hexachlorophene and tribromsalan are not included in this table because they are the subject of final regulatory action (see section IV.D.3).
\2\ Y = Eligible for specified use.
\3\ N = Ineligible for specified use.

2. Ineligible Active Ingredients
    In the 2015 Health Care Antiseptic PR (and as outlined in table 3), 
we identified certain active ingredients that were considered 
ineligible for evaluation under the OTC Drug Review as a health care 
antiseptic for specific indications. We noted, however, that if the 
requested documentation for eligibility was submitted, these active 
ingredients could be determined to be eligible for evaluation (80 FR 
25166 at 25171).
    We received a comment requesting that benzethonium chloride be 
deemed eligible for evaluation under the OTC Drug Review for use as a 
health care personnel hand rub and surgical hand rub. For the reasons 
explained in section V.C.1, we find that benzethonium chloride 
continues to be ineligible for evaluation under the OTC Drug Review for 
use as a health care personnel hand rub and surgical hand rub. 
Consequently, drug products containing benzethonium chloride for use in 
health care personnel hand rubs and surgical hand rubs will require 
approval under an NDA or ANDA prior to marketing.
    We also received comments arguing that chlorhexidine gluconate is 
eligible for evaluation under the OTC Drug Review for use as a health 
care antiseptic. For the reasons explained in section V.C.2, we find 
that chlorhexidine gluconate continues to be ineligible for evaluation 
under the OTC Drug Review for use as a health care antiseptic. 
Consequently, drug products containing chlorhexidine gluconate for use 
in health care antiseptics will require approval under an NDA or ANDA 
prior to marketing.
    In addition, we received a comment requesting that alcohol be 
deemed eligible for evaluation under the OTC Drug Review for use as a 
surgical hand scrub. For the reasons explained in section V.C.3, we 
find that alcohol continues to be ineligible for evaluation under the 
OTC Drug Review for use as a surgical hand scrub. Consequently, drug 
products containing alcohol for use in surgical hand scrubs will 
require approval under an NDA or ANDA prior to marketing.
    Moreover, for the remaining health care antiseptic active 
ingredients that we proposed were ineligible for evaluation under the 
OTC Drug Review, we have not received any new information since the 
publication of the 2015 Health Care Antiseptic PR demonstrating that 
these ineligible active ingredients are eligible for

[[Page 60481]]

evaluation under the OTC Drug Review for use as a health care 
antiseptic for the specified indications (see table 3). Consequently, 
we find that these active ingredients continue to be ineligible for 
evaluation under the OTC Drug Review for use as a health care 
antiseptic for the specified indications and drug products containing 
these ineligible active ingredients will require approval under an NDA 
or ANDA prior to marketing.
3. Ingredients Previously Proposed as Not Generally Recognized as Safe 
and Effective
    FDA may determine that an active ingredient is not GRAS/GRAE for a 
given OTC use (i.e., nonmonograph) because of lack of evidence of 
effectiveness, lack of evidence of safety, or both. In the 1994 TFM (59 
FR 31402 at 31435 to 31436) and the 2015 Health Care Antiseptic PR (80 
FR 25166 at 25173 to 25174), FDA proposed that the active ingredients 
fluorosalan, hexachlorophene, phenol (greater than 1.5 percent), and 
tribromsalan be found not GRAS/GRAE for the uses set forth in the 1994 
TFM: Antiseptic hand wash, health care personnel hand wash, patient 
antiseptic skin preparation, and surgical hand scrub. FDA did not 
classify hexachlorophene or tribromsalan in the 1978 TFM (43 FR 1210 at 
1227) because it had already taken final regulatory action against 
hexachlorophene (21 CFR 250.250) and certain halogenated salicylamides, 
notably tribromsalan (21 CFR 310.502). No substantive comments or new 
data were submitted to the record of the 1994 TFM or the 2015 Health 
Care Antiseptic PR to support reclassification of any of these 
ingredients as GRAS/GRAE. Therefore, FDA has determined that these 
active ingredients are not GRAS/GRAE for use in OTC health care 
antiseptic products as defined in this final rule, and drug products 
containing these ineligible active ingredients will require approval 
under an NDA or ANDA prior to marketing.

V. Comments on the Proposed Rule and FDA Response

A. Introduction

    In response to the 2015 Health Care Antiseptic PR, we received 
approximately 29 comments from drug manufacturers, trade associations, 
academia, testing laboratories, health professionals, and individuals. 
We also received additional data and information for certain deferred 
health care antiseptic active ingredients.
    We describe and respond to the comments in section V.B through V.F. 
We have numbered each comment to help distinguish among the 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, importance, or the order in which comments 
were received.

B. General Comments on the Proposed Rule and FDA Response

1. Effective Date
    (Comment 1) Several comments requested that FDA extend its timeline 
under the 2015 Health Care Antiseptic PR to allow more time for the 
submission of new data and information. They asserted that the one year 
compliance date was too short and that it could take several years to 
design, execute, analyze, and report on the necessary safety and 
effectiveness studies.
    (Response 1) In the 2015 Health Care Antiseptic PR, we provided a 
process for seeking an extension of time to submit the required safety 
and effectiveness data if such an extension is necessary (80 FR 25166 
at 25169). As explained in the proposed rule, we stated that we would 
consider all the data and information submitted to the record in 
conjunction with all timely and completed requests to extend the 
timeline to finalize the monograph status for a given ingredient. We 
received requests to defer six health care antiseptic active 
ingredients from this rulemaking. Consideration for deferral for an 
ingredient was given to requests with clear statements of intent to 
conduct the necessary studies required to fill all the data gaps 
identified in the proposed rule for that ingredient. After analyzing 
the data and information submitted related to the requests for 
extensions, we determined that a deferral is warranted for the six 
health care antiseptic active ingredients--benzalkonium chloride, 
benzethonium chloride, chloroxylenol, alcohol, isopropyl alcohol, and 
povidone-iodine--to allow more time for interested parties to complete 
the studies necessary to fill the safety and effectiveness data gaps 
identified for these ingredients in the 2015 Health Care Antiseptic PR. 
The monograph status of these six ingredients will be addressed either 
after completion and analysis of ongoing studies to address the safety 
and effectiveness data gaps of these ingredients or at a later date if 
these studies are not completed. We did not receive any deferral 
requests for the 24 remaining health care antiseptic active 
ingredients, and so we decline to defer final action on the proposed 
rule for these ingredients.
2. Use in Health Care Settings Outside the Hospital
    (Comment 2) One comment requested that FDA ``better clarify and 
define the scope'' of this rulemaking on the use of health care 
antiseptics in health care settings outside of the hospital ``in order 
that the proper antiseptic products are provided for patients in the 
spectrum of health care settings while also being covered by health 
care insurers.'' The comment stated that patients and health care 
workers in these other settings deserve the same level of safety and 
efficacy standards as those in the hospital setting. The comment 
expressed concern that certain entities may determine that they need to 
supply products intended for ``consumer use,'' which, the comment 
stated, may have different and lesser standards.
    (Response 2) We agree that health care antiseptic products are used 
in a variety of health care settings, not just hospitals. Over the past 
several decades, there has been a significant shift in health care 
delivery from the acute, inpatient hospital setting to a variety of 
outpatient and community-based settings. There are many examples of 
health care settings outside the hospital that involve the use of 
antiseptic products. These settings include, but are not limited to, 
the care of patients in outpatient medical and surgical facilities, 
dental clinics, skilled nursing facilities or nursing homes, adult 
medical day care centers, public health clinics, imaging centers, 
oncology clinics, infusion centers, dialysis centers, behavioral health 
clinics, physical therapy and rehabilitation centers, and in private 
homes. The term ``health care'' as used in this rulemaking includes all 
these settings.
    We note, however, that this rule does not address the use of a 
specific health care antiseptic drug product in a particular health 
care situation. In addition, the coverage of antiseptic drug products 
by health care insurers is outside FDA's purview.
3. GRAS/GRAE Classification of Certain Ingredients
    (Comment 3) Several comments requested that FDA reconsider its 
proposal in the 2015 Health Care Antiseptic PR to classify alcohol, 
isopropyl alcohol, and povidone-iodine as Category III active 
ingredients. In the 1994 TFM, alcohol, isopropyl alcohol,

[[Page 60482]]

and povidone-iodine were proposed to be classified as Category I 
topical antiseptic ingredients for certain indications. The comments 
contended that FDA's proposal to change these ingredients' proposed 
classification from Category I to Category III is not based on a safety 
or effectiveness concern or issue. One comment noted that during the 
September 3, 2014, NDAC meeting, several NDAC members expressed 
concerns about changing the proposed classification of alcohol, 
isopropyl alcohol, and povidone-iodine from Category I to Category III, 
indicating that the change in the proposed classification could lead 
health care personnel to stop using products with these active 
ingredients. The comment also pointed out that, in the 2015 Health Care 
Antiseptic PR and in related public announcements, FDA emphasized that 
we did not believe that health care antiseptic products containing 
these ingredients were ineffective or unsafe, or that their use should 
be discontinued. In fact, that comment noted that FDA recommended that 
health care personnel continue to use these antiseptic products 
consistent with infection control guidelines while additional data 
about the products were gathered.
    (Response 3) As we explained in the 2015 Heath Care Antiseptic PR, 
the OTC drug procedural regulations in Sec.  330.10 use the terms 
``Category I'' (generally recognized as safe and effective and not 
misbranded), ``Category II'' (not generally recognized as safe and 
effective or misbranded), and ``Category III'' (available data are 
insufficient to classify as safe and effective, and further testing is 
required) (80 FR 25166 at 25168). We classify ingredients as Category 
I, II, or III until the final monograph stage, at which point we use 
the term ``monograph conditions'' in place of Category I, and the term 
``nonmonograph conditions'' in place of Categories II and III. In the 
1994 TFM, alcohol and povidone-iodine were both proposed to be 
classified as Category I topical antiseptic ingredients for use in 
surgical hand scrubs, patient antiseptic skin preparations, and 
antiseptic hand washes or health care personnel hand wash products (59 
FR 31402 at 31420 and 31433). Isopropyl alcohol was proposed to be 
classified as Category I for patient antiseptic skin preparation ``for 
the preparation of the skin prior to an injection'' (59 FR 31402 at 
31433).
    In the 2015 Health Care Antiseptic PR, we changed the proposed 
classification of alcohol, isopropyl alcohol, and povidone-iodine from 
Category I to III for these indications, because we found that there 
was not enough data on these three ingredients to meet our proposed 
safety and effectiveness data requirements. We explained that we were 
proposing changes to the safety and effectiveness data requirements 
identified in the 1994 TFM in light of comments we received, input from 
subsequent public meetings, and our independent evaluation of other 
relevant scientific information (80 FR 25166 at 25166).
    Among other things, our proposed revisions to the data requirements 
identified in the 1994 TFM were based on several important scientific 
developments that affected the safety evaluation of health care 
antiseptic active ingredients, including improved analytical methods 
that can detect and more accurately measure these ingredients at lower 
levels in the bloodstream and tissue (80 FR 25166 at 25166 to 25167). 
As a result of these improved methods, we have learned that some 
systemic exposures can be detected, where previously they were 
undetected, and that some systemic exposures are higher than previously 
thought. We also have new information about the potential risks from 
systemic absorption and long-term exposure (80 FR 25166 at 25167). In 
addition, the standard battery of tests that were used to determine the 
safety of drugs had changed over time to incorporate improvements in 
safety testing. As we explained in the 2015 Health Care Antiseptic PR, 
it is critical that the safety and effectiveness of these ingredients 
be supported by data that meet the most current standards, considering 
the prevalent use of health care antiseptic products (80 FR 25166 at 
25167).
    Our decision to propose revising the safety and effectiveness data 
requirements identified in the 1994 TFM was also based in part on 
meetings of the NDAC that were held in March 2005 and September 2014. 
As we noted in the preamble to the 2015 Health Care Antiseptic PR, 
input from participants at the March 2005 NDAC meeting prompted us to 
reevaluate the data needed for classifying health care antiseptic 
active ingredients as GRAE (80 FR 25166 at 25166). Moreover, at the 
meeting held in September 2014, the NDAC discussed FDA's proposed 
revisions to the safety data requirements and unanimously voted that 
the revised safety data requirements were appropriate to demonstrate 
that a health care antiseptic active ingredient is GRAS.
    As one comment noted, at the September 2014 meeting, several NDAC 
members expressed concerns about changing the proposed classification 
of alcohol, isopropyl alcohol, and povidone-iodine from Category I to 
Category III, indicating that this change in the proposed 
classification could lead health care personnel to stop using products 
with these active ingredients. At the same meeting, FDA emphasized both 
that health care antiseptics are a critically important part of the 
infection control paradigm in place in every hospital across the 
country and that our goal is not to remove such products from the 
market (Ref. 4). That remains our goal, and we note that these 
ingredients have each been deferred, so they are not addressed in this 
final rule.
4. Patient Preoperative Skin Preparation
    (Comment 4) One comment asked FDA to clarify the term ``patient 
preoperative skin preparation,'' noting that, in the 2015 Health Care 
Antiseptic PR, the term ``patient preoperative skin preparation'' 
includes skin preparation prior to an injection (preinjection) and that 
this may cause confusion because it could be misinterpreted to mean 
that all products listed can be used for either patient preoperative 
skin preparation or preinjection.
    Several comments also asserted that the effectiveness testing for 
preinjection should have different clinically relevant time points 
because preinjection use serves a different purpose and has a different 
use pattern than patient preoperative skin preparations. They argued 
that surgical incision demands persistent activity due to the invasive 
nature of cutting through the skin's natural barrier over a larger 
area, the procedure duration (which can be hours), and the time the 
incision point will be open and will subsequently need to heal. As 
such, the comments argued, persistence may be an important attribute of 
patient preoperative skin preparations. They explained that in 
contrast, an injection is a procedure lasting only seconds and poses a 
relatively low risk of infection. They also explained that the 
injection site heals quickly, so there is no need for persistent 
antimicrobial activity. They stated that if patient preinjection skin 
preparation products are required to meet the same effectiveness 
requirements as patient preoperative skin preparation products, this 
would effectively clear the market of available cost effective 
solutions for those who need these products. Therefore, the comments 
asserted that the effectiveness requirements for patient preoperative 
skin preparation should be different from the effectiveness 
requirements for patient preinjection skin preparations.
    (Response 4) We agree that the circumstances under which health 
care

[[Page 60483]]

antiseptics can be used for preinjection should be clarified because 
patient preoperative skin preparations and preinjection skin 
preparations can serve different purposes and have different uses. 
Accordingly, we clarify that patient preoperative skin preparation and 
patient preinjection skin preparation may involve separate uses within 
the category of patient antiseptic skin preparations. As noted in the 
comments, surgical incisions require persistent activity from patient 
preoperative skin preparations due to the invasive nature of cutting 
through the skin's natural barrier over a larger area, the procedure 
duration (which can be hours), and the time the incision point will be 
open and will subsequently need to heal. As such, persistence is an 
important attribute of patient preoperative skin preparations. In 
comparison, injection refers to a brief interruption of skin integrity 
by a sterile needle that is typically removed within seconds or a few 
minutes. Due to the brevity of the procedure, the risk of bacterial 
infection from an injection is low, and so persistent antimicrobial 
activity is not essential for a preinjection skin preparation product.
    Examples of procedures that are covered by a preinjection claim 
include the following:

 Intramuscular injection for vaccination
 Intramuscular injection for delivery of medication, such as an 
antibiotic or an anesthetic (for trigger point injection)
 Intradermal injection for tuberculin testing
 Subcutaneous injection of insulin
 Subcutaneous placement of needles for acupuncture
 Venipuncture for blood drawing for laboratory testing
 Intradermal injection for allergy skin testing

    Examples of procedures that are not covered by the preinjection 
claim include the following:

 Venous catheterization for blood donation
 Venous catheterization for an extended delivery of medication, 
such as slow infusion of an antibiotic
 Venous catheterization for delivery of intravenous fluid
 Placement of a central venous catheter for any purpose
 Placement of a heparin lock
 Placement of an arterial catheter
 Surgical procedure

    As stated in the 2015 Health Care Antiseptic PR (80 FR 25166 at 
25176), the effectiveness criteria for health care antiseptics are 
based on the premise that bacterial reductions achieved using tests 
that simulate conditions of actual use for each OTC health care 
antiseptic product reflect the bacterial reductions that would be 
achieved under conditions of such use. Thus, the effectiveness 
requirements for determining whether an active ingredient is GRAE for 
use in patient preinjection skin preparations should be consistent with 
the actual use of that product. We agree that patient antiseptic skin 
preparations used for preinjection involve a process lasting a much 
shorter period of time, sometime seconds, compared to surgery, which 
can last several hours, and that such preinjection use has a lower risk 
of infection. For these reasons, we also agree that the effectiveness 
requirements for preinjection should be different than the 
effectiveness requirements for patient preoperative skin preparations. 
We discuss these effectiveness requirements in more detail in section 
V.D.2.
    We also note that, although we do not address labeling in this 
final rule because at this time we have not found any active 
ingredients to be GRAS/GRAE for use in patient antiseptic skin 
preparations, we anticipate that labeling for these products will 
include directions for use that will help providers determine the 
proper use of preoperative and preinjection antiseptic products.
5. Food Handler Antiseptics
    (Comment 5) Several comments requested that FDA formally recognize 
antiseptic hand washes and rubs used in the food industry as a distinct 
food handler category subject to its own monograph. The comments also 
requested that FDA confirm that food handler antiseptics can continue 
to be marketed until FDA issues a food handler monograph.
    (Response 5) As stated in the 2016 Consumer Wash Final Rule (81 FR 
61106 at 61109) and the 2015 Health Care Antiseptic PR (80 FR 25166 at 
25168), we continue to classify the food handler antiseptic washes as a 
separate and distinct monograph category. As explained in those 
rulemakings, food handler antiseptic products are not part of these 
rulemakings on the health care and consumer antiseptic monographs. We 
continue to believe a separate category is warranted because of 
additional issues raised by the public health consequences of foodborne 
illness, differences in frequency and type of use, and contamination of 
the hands by grease and other oils.

C. Comments on Eligibility of Active Ingredients and FDA Response

1. Benzethonium Chloride
    (Comment 6) In response to the 2015 Health Care Antiseptic PR, we 
received a comment asserting that benzethonium chloride is eligible for 
review under the monograph for use in health care personnel hand rubs 
and surgical hand rubs and that benzethonium chloride be categorized as 
a Category I ingredient for both indications. Information submitted in 
the comment showed that methylbenzethonium chloride was present in 
Bactine, a topical antiseptic for first aid and wound care before May 
1972. The comment also asserted that:
     Methylbenzethonium chloride was the active ingredient in 
the antiseptic, Bactine.
     Bactine with methylbenzethonium chloride was in use before 
1972 as a leave-on antiseptic (not rinsed off).
     Methylbenzethonium chloride and benzethonium chloride are 
equivalent.
     The conditions of use for benzethonium chloride in the 
2015 Health Care Antiseptic PR are the same as for Bactine.
    (Response 6) In the 2015 Health Care Antiseptic PR (80 FR 25166 at 
25171), we explained that an OTC drug is covered by the OTC Drug Review 
if its conditions of use existed in the OTC drug marketplace on or 
before May 11, 1972. Conditions of use include active ingredient, 
dosage form and dosage strength, route of administration, and the 
specific OTC use or indication of the product. If the eligibility of a 
product for OTC Drug Review is in question, FDA must have actual 
product labeling or a facsimile of labeling that documents the 
conditions of marketing the product before May 1972 (see Sec.  
330.10(a)(2)). If benzethonium chloride was the active ingredient in a 
drug before May 1972 for use as a health care personnel hand rub and/or 
surgical hand rub, then it would be eligible for the OTC Drug Review 
for those indications.
    We disagree with the comment's statement asserting that 
methylbenzethonium chloride (the active ingredient in Bactine) is 
essentially equivalent to benzethonium chloride based on their similar 
structure and chemical function (both are quaternary ammonium chloride 
antiseptic ingredients). Although these two ingredients are chemically 
similar such that they could be grouped as quaternary ammonium 
compounds, they are not equivalent molecules. Furthermore, although not 
suggested by the comment, there is no evidence that methylbenzethonium 
is a prodrug for benzethonium chloride, or requires

[[Page 60484]]

conversion or metabolism to benzethonium chloride for antiseptic 
activity when applied to the skin.
    Moreover, although the comment provided data to demonstrate that 
methylbenzethonium chloride was used in Bactine before May 1972, the 
submitted label for Bactine contained indications that are not 
equivalent to the indications for health care personnel hand rubs or 
surgical hand rubs. The indications and directions on the Bactine label 
(i.e., minor cuts, scratches, and abrasions; minor burns, sunburn; 
itching skin irritations; shaving antiseptic; sickroom, nursery (hands, 
thermometers, surgical instruments, sickroom articles); athlete's 
foot--sore tired feet) do not support the use of benzethonium chloride 
as an active ingredient used in a health care antiseptic hand rub by a 
health care professional in the care of patients or by a surgeon before 
surgery. The Directions for Use (indications) from the Bactine bottle 
do not support the eligibility of methylbenzethonium chloride as an OTC 
health care antiseptic hand rub or surgical hand rub. Lastly, although 
the use of methylbenzethonium chloride to disinfect the hands is 
suggested by the word ``hands'' in the directions for ``sickroom, 
nursery (hands, thermometers, surgical instruments, sickroom articles) 
use full strength Bactine,'' this reference to hands is imprecise and 
no specific Directions for Use are provided.
    We also performed a literature search to investigate whether 
benzethonium chloride was used as an active ingredient in an OTC health 
care antiseptic leave-on product for the indication of a health care 
personnel hand rub or surgical hand rub before May 1972. Our search did 
not find evidence for the use of benzethonium chloride as a health care 
personnel hand rub or surgical hand rub.
    In sum, we find that the data submitted in support of the 
eligibility of benzethonium chloride as a monograph active ingredient 
for use as a health care personnel hand rub and/or a surgical hand rub 
do not demonstrate that benzethonium chloride is eligible for use for 
these health care antiseptic indications. For these reasons, we find 
that benzethonium chloride continues to be ineligible for evaluation 
under the OTC Drug Review for use as a health care personnel hand rub 
and surgical hand rub. Consequently, drug products containing 
benzethonium chloride for use in health care personnel hand rubs and 
surgical hand rubs will require approval under an NDA or ANDA prior to 
marketing.
2. Chlorhexidine Gluconate
    (Comment 7) FDA received two comments asserting that chlorhexidine 
gluconate should be eligible for inclusion in the OTC health care 
antiseptic monograph. The comments also stated that more data are 
needed to find chlorhexidine gluconate GRAS/GRAE for use as an OTC 
health care antiseptic.
    (Response 7) Chlorhexidine gluconate was not included in the 1994 
TFM because we had previously found chlorhexidine gluconate to be 
ineligible for inclusion in the monograph for any health care 
antiseptic use (80 FR 25166 at 25172, citing 59 FR 31402 at 31413). In 
the 2015 Health Care Antiseptic PR, we explained that we had not 
received any new information since the 1994 TFM that supported the 
eligibility of chlorhexidine gluconate for inclusion in the monograph. 
Consequently, we proposed not to change the categorization of 
chlorhexidine gluconate based on the lack of documentation 
demonstrating its eligibility under the OTC Drug Review for use as a 
health care antiseptic (80 FR 25166 at 25172).
    The comments on chlorhexidine gluconate submitted in response to 
the 2015 Health Care Antiseptic PR did not include any data or any new 
information to support chlorhexidine gluconate's eligibility for 
inclusion in the health care antiseptic monograph. Specifically, no 
evidence was submitted for chlorhexidine gluconate to demonstrate that 
chlorhexidine gluconate was an active ingredient in OTC health care 
antiseptics in the United States before May 1972. Consequently, we find 
that chlorhexidine gluconate continues to be ineligible for evaluation 
under the OTC Drug Review for use as a health care antiseptic. Drug 
products containing chlorhexidine gluconate for use in health care 
antiseptics will require approval under an NDA or ANDA prior to 
marketing. Because chlorhexidine gluconate continues to be ineligible 
for consideration under the health care antiseptic monograph, it is 
unnecessary to address the comments' statement that more safety and 
effectiveness data are needed to find chlorhexidine gluconate GRAS/GRAE 
for OTC health care antiseptic use.
    (Comment 8) In response to the 2015 Health Care Antiseptic PR, we 
also received a comment expressing concerns regarding the bacterial 
resistance of chlorhexidine gluconate. In addition, we received a 
comment that suggested that chlorhexidine gluconate is superior to 
povidone-iodine as a patient preoperative skin preparation.
    (Response 8) Because we find that chlorhexidine gluconate is 
ineligible for consideration under the health care antiseptic monograph 
and these comments do not have an impact on this finding, we do not 
address these comments in this final rule.
3. Alcohol
    (Comment 9) In response to the 2015 Health Care Antiseptic PR, a 
comment was submitted that argued that alcohol should be deemed 
eligible for evaluation under the OTC Drug Review for use as a surgical 
hand scrub. The comment asserted that FDA first made its distinction 
between ``rubs'' and ``scrubs'' in the 2015 Health Care Antiseptic PR, 
in which FDA proposed that alcohol was ineligible for inclusion in the 
health care antiseptic monograph as a surgical hand scrub. The comment 
stated that FDA based this conclusion on the fact that information for 
rinse-off products was not submitted to the OTC Drug Review. But, the 
comment claimed, manufacturers had no reason to submit such information 
because FDA had found alcohol to be GRAS/GRAE for use in surgical hand 
scrub products in the 1994 TFM, and manufacturers had no notice that 
FDA was expecting such submissions. The comment argued that the 
Agency's exclusion of alcohol from the 2015 Health Care Antiseptic PR 
for use as a surgical hand scrub was arbitrary and capricious and in 
violation of the Administrative Procedure Act (APA), 5 U.S.C.A. 
sections 501 et seq.
    (Response 9) In the 2015 Health Care Antiseptic PR, we explained 
that the 1994 TFM did not distinguish between products that we are now 
calling ``antiseptic washes'' and products we are now calling 
``antiseptic rubs.'' However, based on comments submitted in response 
to the 1994 TFM, we tentatively determined that there should be a 
distinction between antiseptic washes and antiseptic rubs, as well as a 
distinction between consumer antiseptic and health care antiseptic 
products. As evidenced by the comments received in response to the 1994 
TFM, formulation practices and marketing intent of these products has 
changed over time and products may not be eligible for conditions under 
which they are currently marketed. We explained that washes are rinsed 
off with water, and include health care personnel hand washes and 
surgical hand scrubs, while rubs are sometimes referred to as ``leave-
on products'' and are not rinsed off after use, and include health care 
personnel hand rubs,

[[Page 60485]]

surgical hand rubs, and patient preoperative skin preparations (80 FR 
25166 at 25169). As a result of these distinctions, we proposed that 
alcohol was ineligible for use as a health care personnel hand wash and 
surgical hand scrub because the only health care antiseptic products 
that contained alcohol for which evidence was submitted to the OTC Drug 
Review for evaluation were products that were intended to be used 
without water (i.e., rubs and skin preparations) (Id. at 25172).
    We disagree with the comment's assertions that manufacturers did 
not have notice or an opportunity to submit information to the OTC Drug 
Review on alcohol's eligibility for use as a surgical hand scrub. 
First, we note that the 1994 TFM was a proposed rule, not a final rule; 
we proposed, but had not yet found, alcohol to be GRAS/GRAE for use in 
surgical hand scrub products. Moreover, in the 2015 Health Care 
Antiseptic PR, our proposal that alcohol was ineligible for use as a 
surgical hand scrub also was a preliminary determination based on the 
lack of adequate evidence of eligibility for evaluation under the OTC 
Drug Review. In the proposed rule, we invited parties to submit such 
evidence of eligibility. We explained that if the documentation 
demonstrated that an active ingredient met the OTC Drug Review 
requirements, the active ingredient could be determined to be eligible 
for evaluation for the specified use. Parties had 180 days to submit 
comments on the proposed rule and 12 months to submit any new data or 
information on the proposed rule, including evidence and documentation 
on eligibility (80 FR 25166 at 25169). The comment submitted in 
response to the 2015 Health Care Antiseptic PR on this issue did not 
include any documentation or evidence to demonstrate that alcohol is 
eligible for use as a surgical hand scrub under the OTC antiseptic 
monograph, despite the opportunity to include such information. Also, 
there was no additional data or information submitted to the record 
thereafter to demonstrate alcohol's eligibility for evaluation under 
the OTC Drug Review for use as a surgical hand scrub.
    For these reasons, we find that alcohol continues to be ineligible 
for evaluation under the OTC Drug Review for use as a surgical hand 
scrub. Consequently, drug products containing alcohol for use in 
surgical hand scrubs will require approval under an NDA or ANDA prior 
to marketing.
    We also note that where these active ingredients are ineligible for 
evaluation under the OTC Drug Review, interested parties may have the 
option to submit a time and extent application under Sec.  330.14 (21 
CFR 330.14) of FDA's regulations to request that the Agency amend the 
health care antiseptic monograph to include these active ingredients 
for use in health care antiseptics for the specified indications.

D. Comments on Effectiveness and FDA Response

1. Clinical Simulation Studies
    (Comment 10) One comment stated that FDA should require the same 
clinical studies that were required to show a benefit of OTC consumer 
antiseptic washes over and above washing with non-antibacterial soap 
for OTC antiseptics used in the health care setting. The comment 
asserted that there are numerous safety concerns with the use of these 
active ingredients and given these concerns and health care workers' 
extensive exposure to these ingredients in their workplaces on a daily 
basis, the Agency should find that there is a benefit over and above 
washing with plain soap and water in order to make a GRAE determination 
for these active ingredients. The comment stated that if FDA relies on 
bacterial reduction as a proxy for effectiveness in the health care 
setting, it must require that that reduction be compared against plain 
soap and water, especially given that workers in the health care 
setting likely wash their hands more frequently than the general 
public, and thus, are exposed to higher levels of these ingredients.
    (Response 10) As we explained in the 2015 Health Care Antiseptic PR 
(80 FR 25166 at 25175 to 25176), study design limitations and ethical 
concerns prevent the use of clinical outcome studies to demonstrate the 
effectiveness of active ingredients used in health care antiseptic 
products. Participants at the March 2005 NDAC meeting acknowledged the 
difficulty in designing clinical trials to demonstrate the impact of 
health care antiseptics on rates of infection where numerous factors 
contribute to hospital-acquired infections, and therefore, would need 
to be controlled for in the design of these types of studies. 
Participants at the March 2005 NDAC meeting recommended that 
manufacturers perform an array of trials to look simultaneously at the 
effect on the surrogate endpoint and the clinical endpoint to try to 
establish a link between the surrogate and clinical endpoints, but 
provided no guidance on possible study designs. At the time, 
participants at the March 2005 NDAC meeting agreed that there were 
currently no clinical trials presented that showed a definitive 
clinical benefit for a health care antiseptic. However, recently, using 
an active comparator, Tuuli et al. demonstrated fewer infections 
following caesarean section with use of an approved patient 
preoperative health care antiseptic (Ref. 6). Otherwise, we have seen 
very few examples of well-controlled studies of this type to date.
    Participants at the March 2005 NDAC meeting also believed it would 
be unethical to perform a hospital trial using a vehicle control 
instead of an antiseptic given the concerns with performing placebo-
controlled studies on patients (Ref. 3). The inclusion of such control 
arms in a clinical outcome study conducted in a hospital setting could 
pose an unacceptable health risk to study subjects (hospitalized 
patients and health care providers). In such studies, a vehicle or 
negative control would be a product with no antimicrobial activity. The 
use of vehicle or saline (a negative control) in a hospital setting (a 
setting with an already elevated risk of infections) could increase the 
risk of infection for both health care providers and their patients. 
For these reasons, we continue to find that the use of clinical 
simulation studies relying on surrogate endpoints to evaluate the 
effectiveness of health care antiseptics is the best means available of 
assessing the effectiveness of health care antiseptic products.
    (Comment 11) Given the ethical concerns with performing clinical 
trials in a health care setting, one comment urged FDA to evaluate 
natural experiments that have already occurred (e.g., hospital systems 
that switched away from chemical antiseptics in hand washes) when 
making a final monograph decision. The comment also stated that, while 
the clinical simulation studies provide useful information about one 
possible route through which bacterial illnesses are passed in a health 
care setting, as currently designed these studies do not study the 
complex microflora of the hospital environment, which is home to a wide 
range of bacterial populations. The comment said that the bactericidal 
effectiveness of the active ingredients is only partially achieved with 
the in vitro testing. The comment explained that, in addition to the 
MIC and time-kill testing, the in vitro tests for health care 
antiseptics could mirror the ``worst-case'' real-world assumptions. 
Clinical isolates that closely represent worst-case hospital or health 
care microbial populations (e.g., large numbers of multi-drug resistant 
bacterial strains) could be highly useful in determining

[[Page 60486]]

the effectiveness of an active ingredient under real-world conditions. 
The comment stated that worst-case assumptions could include patient-
derived isolates from cases involving isolation due to multi-drug 
resistance or isolates from frequently contaminated surfaces within a 
hospital or health care setting (e.g., door knobs, soap dispensers); 
and that this type of testing could be expanded into ``clinical 
simulation'' studies by measuring log reduction of bacterial counts on 
hands contaminated under actual health care conditions.
    (Response 11) We believe that applying health care-associated high 
risk microbial pathogens (e.g., methicillin-resistant Staphylococcus 
aureus) during clinical simulation studies raises the ethical and study 
design issues we have discussed in this rulemaking. Currently, no 
historical data have been submitted to the docket that address or 
evaluate the effectiveness of health care antiseptic active ingredients 
in health care settings. Also, we are not aware of any health care 
personnel hand wash antiseptic that has been replaced with the use of 
plain soap and water in the hospital setting, and no such data have 
been submitted to the docket. Moreover, as explained in this 
rulemaking, participants at the March 2005 NDAC meeting believed that 
it would be unethical to perform hospital trial studies using a vehicle 
control, such as plain soap and water, instead of an antiseptic.
    In addition, the standard infection control guidance broadly 
implemented by CDC (Refs. 7 and 8), which involves measures such as 
gloving, hand hygiene, patient-to-patient contact, and waste disposal, 
makes it difficult to design an adequate clinical study (Ref. 9).
    Moreover, the in vitro testing required for proof of effectiveness 
against microorganisms (80 FR 25166 at 25177 to 25178), is already 
intended to characterize the activity (broad spectrum) of the 
antimicrobial ingredient. The American Type Culture Collection (ATCC) 
strains we reference in the 2015 Health Care Antiseptic PR for the in 
vitro testing are chosen to represent a broad spectrum of bacteria that 
present a challenge to antisepsis and are the principal bacterial 
pathogens encountered in hospital settings. The clinical simulation 
studies described in the 2015 Health Care Antiseptic PR are based on 
the premise that bacterial reductions achieved using tests that 
simulate conditions of actual use for each OTC health care antiseptic 
product category reflect the bacterial reductions that would be 
achieved under such conditions of use.

2. Log Reduction Testing Criteria

    (Comment 12) Multiple comments were submitted to the 2015 Health 
Care Antiseptic docket on the in vivo testing criteria that use 
bacterial log reductions for determining the effectiveness of active 
ingredients used in health care antiseptic products. One comment stated 
that single application testing and increased log reduction for health 
care personnel hand rubs is not supported by scientific evidence and 
that current gaps exist within the peer-reviewed literature. The 
comment recommended that the Agency not change the testing requirements 
for the health care personnel hand rub products because alcohol-based 
hand rubs are used millions of times a day across the United States in 
all health care facilities. The comment also asserted that the 
recommended changes to the testing requirements by FDA could result in 
the unavailability of hand hygiene products to the clinicians who 
utilize them daily to prevent the transmission of health care 
associated infections to patients. One comment also asserted that FDA 
should retain the effectiveness criteria proposed for surgical hand 
scrubs identified in the 1994 TFM for single applications only.
    Several comments also asserted that FDA should retain the 
effectiveness criteria proposed in the 1994 TFM for health care 
personnel hand wash and rub products as 2 log10 after a 
single application. The comments argued that the proposed 2.5 
log10 reduction with a 70 percent success criterion for 
health care personnel hand wash products would be unattainable even by 
current FDA-approved products. In addition, several comments suggested 
that FDA adopt effectiveness criteria for in vivo effectiveness testing 
of active ingredients in surgical hand rubs and scrubs of a 1 
log10 reduction within one minute after the first 
application procedure with no return to baseline within 6 hours.
    Several comments also asserted that it is inappropriate to propose 
a 30-second contact time for patient preoperative skin preparations. 
The comments argued that most active ingredients for use in patient 
preoperative skin preparations would be unable to make the log 
reduction effectiveness criteria at 30 seconds. The comments asserted 
that, although it may be possible for some patient preoperative skin 
preparation products to make the log reduction effectiveness criterion 
and that it may be possible for some patient preoperative skin 
preparation products to make the 70 percent success rate for abdomen, 
no products can make the 70 percent success rate for the groin area at 
30 seconds. One comment agreed with the 30-second time point, but 
argued that sampling should include a time point after the drying time 
is completed according to the directions. The comment stated that, in 
the proposed amendment to the 1994 TFM, it is unclear whether the 
antiseptic would be tested 30 seconds after application and while still 
wet, potentially resulting in efficacy compromise. The comment asserted 
that FDA should allow the product to fully dry before collecting 30-
second time point efficacy testing, especially with topical skin 
antiseptics, because it is important that the skin be fully dry to 
achieve maximum efficacy and also to minimize potential skin irritation 
associated with use. Similarly, another comment asserted that, when 
referring to time points after product application for patient 
preoperative skin preparation, it should be explicitly stated that 
``after product application'' means ``product application plus required 
dry time.'' Several comments also stated that the proposed 10-minute 
application period identified in the 1994 TFM is more representative of 
current clinical application practices.
    (Response 12) As described in the 2015 Health Care Antiseptic PR, 
we proposed revisions to the log reduction criteria for health care 
personnel hand washes and rubs, and for surgical hand scrubs and rubs 
based on the recommendations of the March 2005 NDAC meeting and 
comments to the 1994 TFM that argued that the demonstration of a 
cumulative antiseptic effect for these products is unnecessary (80 FR 
25166 at 25178). We agreed that the critical element of effectiveness 
is that a product must be effective after the first application because 
that represents the way in which health care personnel hand washes and 
rubs and surgical hand scrubs and rubs are used. Given that we were no 
longer requiring a cumulative antiseptic effect, the log reduction 
criteria were revised to reflect this single product application and 
fall between the log reductions previously proposed for the first and 
last application. Accordingly, we continue to find that the log 
reduction criteria for these products should be applied to a single 
application of the product rather than to multiple applications of the 
product.
    Moreover, in the 2015 Health Care Antiseptic PR, we also proposed 
that patient antiseptic skin preparations (i.e., patient preoperative 
and preinjection skin preparations) be able to

[[Page 60487]]

demonstrate effectiveness at 30 seconds because we believed that 
injections and some incisions are made as soon as 30 seconds after skin 
preparation (80 FR 25166 at 25178). In vivo studies are based on the 
premise that bacterial reductions achieved using tests that simulate 
conditions of actual use for each health care antiseptic category 
reflect the bacterial reductions that would be achieved under 
conditions of such use. Accordingly, we find that the effectiveness 
criteria for patient antiseptic skin preparations (i.e., patient 
preoperative and preinjection skin preparations) should continue to 
include the 30-second sampling time point. Also, we find that the 10-
minute sampling time point proposed in the 1994 TFM should also be 
included in the effectiveness criteria as a time point option for 
patient preoperative skin preparations. These products should be tested 
at the 30-second or 10-minute sampling time point after drying, 
according to the labeled directions for use. For patient preinjection 
skin preparations, however, the 10-minute sampling time point should 
not be a time point option. Patient preinjection skin preparations 
should be tested at the 30-second time point only.
    Based on comments submitted on the 2015 Health Care Antiseptic PR 
and the Agency's further evaluation of additional data, we have updated 
the underlying statistical analysis related to the log reduction 
criteria for classifying health care antiseptic active ingredients as 
GRAE (Refs. 10, 11, 12, 13, 14, and 15).
    In the 1994 TFM, FDA recommended that the general effectiveness of 
antiseptics be assessed in a number of ways, including conducting 
clinical simulation studies with the surrogate endpoint of the number 
of bacteria removed from the skin. In the 2015 Health Care Antiseptic 
PR, FDA made revisions to the effectiveness criteria set forth in the 
1994 TFM, while continuing to recommend that bacterial log reduction 
studies be used to demonstrate that an active ingredient is GRAE for 
use in a health care antiseptic product. FDA recommended that these 
bacterial log reduction studies: (1) Include both a negative control 
(test product vehicle or saline solution) and an active control; (2) 
have an adequate sample size to show that the test product is superior 
to its negative control; (3) incorporate the use of an appropriate 
neutralizer and a demonstration of neutralizer validation; and (4) 
include an analysis of the proportion of subjects who meet the 
recommended log reduction criteria based on a two-sided statistical 
test for superiority to negative control and a 95 percent confidence 
interval approach (80 FR 25166 at 25178 to 25179). FDA also recommended 
that the success rate or responder rate of the test product be 
significantly higher than 70 percent. This meant that the lower bound 
of the 95 percent confidence interval for the proportion of subjects 
who met the log reduction criteria was expected to be at least 70 
percent.
    Consistent with the 1994 TFM and 2015 Health Care Antiseptic PR, we 
find that bacterial log reduction studies should continue to be used to 
demonstrate that an active ingredient is effective for use in a health 
care antiseptic product. Also consistent with the 2015 Health Care 
Antiseptic PR, subjects should be randomized to a three-arm study: 
Test, active control, and negative control. However, based on comments 
submitted on the 2015 Health Care Antiseptic PR and the Agency's 
further evaluation of additional data, we are updating the statistical 
analysis related to the log reduction criteria for classifying health 
care antiseptic active ingredients as GRAE. Also, as we explain in 
section V.B.4, we include separate effectiveness criteria for patient 
preinjection skin preparations to more accurately reflect the actual 
use of these products. We also clarify, for patient preoperative skin 
preparations and patient preinjection skin preparations, that the 
sampling time point commences after the applied product dries.
    The updated analysis is designed to assess whether the average 
treatment effects (ATE) across subjects meet indication-specific 
conditions of superiority and non-inferiority, rather than whether the 
percentage of subjects who meet an indication-specific threshold 
significantly exceeds 70 percent. More specifically, the updated 
analysis estimates the ATE from a linear regression of post-treatment 
bacterial count (log10 scale) on the additive effect of a 
treatment indicator and the baseline or pre-treatment measurement 
(log10 scale). In the conditions below, the ATE of the test 
product compared to the negative control is defined as the contrast of 
treatment effect of negative control minus the treatment effect of the 
test drug in the linear regression. Likewise, the ATE of the active 
control compared to the test product is defined as the contrast of 
treatment effect of test product minus the treatment effect of the 
active control in the linear regression.
    Superiority to negative control by a specific margin is needed 
because our evaluation suggests that application of a negative control, 
whether test product's vehicle or saline, may exhibit some minimal 
antimicrobial properties. Thus, using superiority to negative control 
by those margins will help ensure that we can appropriately assess the 
effectiveness of the deferred antimicrobial products. The margins we 
identify in this section were derived from review and analysis of 
existing data, and may be revised as data gaps on deferred 
antimicrobial products are filled. Because of existing data gaps, we 
also require the deferred ingredient to show non-inferiority to active 
controls by a 0.5 margin (log10 scale).
    Accordingly, based on the updated analysis, the bacterial log 
reduction studies used to assess whether an active ingredient is 
effective for use in health care antiseptics should include the 
following:
     The test product should be non-inferior to an FDA-approved 
active control with a 0.5 margin (log10 scale). That is, we 
expect the upper bound of the 95 percent confidence interval of the ATE 
of the active control compared to the test product to be less than 0.5 
(log10 scale). An active control is not intended to validate 
the study conduct or to show superiority of the test drug product but 
to show that the test drug product is not inferior. Non-inferiority to 
active control should be met at the following area and times for the 
respective health care antiseptic indications:
    [cir] Patient preoperative skin preparation:

[ssquf] Per square centimeter on abdominal site within 30 seconds after 
drying, or within 10 minutes after drying
[ssquf] Per square centimeter on groin site within 30 seconds after 
drying, or within 10 minutes after drying
[cir] Patient preinjection skin preparation: Per square centimeter on a 
dry site (i.e., forearm, abdomen, or back) within 30 seconds after 
drying
[cir] Health care personnel hand wash: On each hand within 5 minutes 
after a single wash
[cir] Health care personnel hand rub: On each hand within 5 minutes 
after a single rub.
[cir] Surgical hand scrub: On each hand within 5 minutes after a single 
scrub
[cir] Surgical hand rub: On each hand within 5 minutes after a single 
rub

     The test product should be superior to the vehicle control 
by an indication-specific margin. That is, we expect the lower bound of 
the 95 percent confidence interval of the ATE of the test product 
compared to the vehicle control to be greater than the indication-
specific margin. In cases where the vehicle cannot be used as a 
negative

[[Page 60488]]

control, nonantimicrobial soap or saline solution can be used. Based on 
our evaluation of the existing data, the following indication-specific 
superiority margin should be met by the deferred ingredients for the 
respective health care antiseptic indications:

[cir] Superiority margin of 1.2 log10 for patient 
preoperative skin preparation
[ssquf] per square centimeter on abdominal site within 30 seconds after 
drying, or within 10 minutes after drying
[ssquf] per square centimeter on groin site within 30 seconds after 
drying, or within 10 minutes after drying
[cir] Superiority margin of 1.2 log10 for patient 
preinjection skin preparation per square centimeter on a dry site 
(i.e., forearm, abdomen, or back) within 30 seconds after drying
[cir] Superiority margin of 1.2 log10 for health care 
personnel hand wash on each hand within 5 minutes after a single wash
[cir] Superiority margin of 1.5 log10 for health care 
personnel hand rub on each hand within 5 minutes after a single rub
[cir] Superiority margin of 0.5 log10 for surgical hand 
scrub on each hand within 5 minutes after a single scrub
[cir] Superiority margin of 1.5 log10 for surgical hand rub 
on each hand within 5 minutes after a single rub

    As discussed in more detail in section V.D.4, we believe that 
persistence of antimicrobial effect is an important attribute for 
health care antiseptic products, and in particular for patient 
preoperative skin preparations, surgical hand scrubs, and surgical hand 
rubs. To show persistence of effect for these health care antiseptic 
indications, the 6 hours post-treatment measurement should be lower 
than or equal to the baseline measurement for 100 percent of the 
subjects in each indication and body area tested.
    Moreover, for the deferred ingredients, a minimum sample size of 
100 subjects per treatment arm should be included for each indication. 
This sample size will ensure that ATE will be estimated precisely for 
the deferred ingredients and can be used for future reference in final 
product monographs. Exact sample size can be based on the margins for 
non-inferiority and superiority as well as an assessment of 
variability. In addition, two adequate and well-controlled clinical 
simulation pivotal studies should be conducted for each indication at 
two separate independent laboratory facilities by independent principal 
investigators.
3. Baseline Bacterial Count
    (Comment 13) Several comments asserted that the Agency does not 
specify a minimum baseline bacterial count for subject eligibility in 
the clinical simulation studies and that the 1994 TFM is vague with 
regard to baseline values. The 1994 TFM states only that sites are to 
possess bacterial populations large enough to allow demonstrations of 
bacterial reduction of up to 2 log10 per square centimeter 
on dry skin sites and 3 log10 per square centimeter on moist 
sites (59 FR 31402 at 31450). One comment urged FDA to use baseline 
values for patient preoperative skin preparations that follow the 
American Society for Testing and Materials (ASTM) \3\ method E1173, 
which is more specific and states that the bacterial baseline 
population should be at least 3 log10 per square centimeter 
on moist skin sites and at least 2 log10 greater than the 
detection limit on dry skin sites. Several comments also stated that it 
was challenging to find subjects who have resident bacterial counts 
high enough to be eligible for these studies.
---------------------------------------------------------------------------

    \3\ General information about ASTM International can be found at 
https://www.astm.org/.
---------------------------------------------------------------------------

    (Response 13) We do not specify a minimum baseline bacterial count 
for subject eligibility in the clinical simulation studies; however, 
the test sites should possess bacterial populations large enough to 
meet the updated statistical criteria as explained in section III.D.2. 
We do not specify a minimum baseline bacterial count because, as 
explained in section III.D.2, the ATE is used to demonstrate 
effectiveness. Rather than using only a change from baseline, each 
criterion (groin site and abdomen site) uses the ATE, an estimated 
difference of the effect of two treatments correcting for baseline 
count. Manufacturers are encouraged to select subjects with baseline 
counts significantly higher than the expected log reductions achieved 
during the testing (i.e., high enough to allow for a positive residual 
of bacterial burden after the use of the active control and the test 
product). This selection will ensure that there is a high enough 
bacterial count at baseline to assess the full effectiveness of both 
the active control and the product under evaluation. Likewise, a 
bacterial burden so low that it is depleted readily both by the vehicle 
(or negative control) and by the test product, will not allow for an 
assessment of the effectiveness of that test product because the 
outcome would equally be zero and it will not be possible to measure 
the difference in log reduction between the test product and negative 
control. The number of viable microorganisms recovered from the skin of 
each subject at baseline should be provided in the final study report. 
In addition, given the updated statistical analysis criteria outlined 
in section V.D.2, it is unnecessary to apply the baseline values for 
patient preoperative skin preparations that follow the ASTM E1173 
method.
    Moreover, if manufacturers find it challenging to recruit subjects 
who have resident bacterial counts high enough to be eligible for these 
studies, we recommend the use of the back as an alternate dry test 
site, rather than using the arm. We do not recommend the use of an 
occlusive dressing (sterile gauze). Covering the test sites has the 
potential to change the make-up of the microbial population. Therefore, 
the use of occlusion may not provide an accurate assessment of how 
effective the product will be under actual use conditions.
4. Persistence
    (Comment 14) One comment stated that current infection control 
procedures make persistence of antimicrobial activity for surgical hand 
scrub and patient preoperative skin preparations irrelevant. The 
comment asserted that persistence of effect may, in fact, be a negative 
attribute for these products because it may cause irritation. The 
comment suggested that the Agency place more emphasis on the mildness 
of these products rather than the persistence of these products. 
Another comment agreed with the Agency's requirement that patient 
preoperative skin preparations and surgical scrubs have a persistent 
antimicrobial effect. Another comment contended that the Agency's 
statement about the need for persistence of effect for patient 
preoperative hand scrubs lacks substantiating data. Another comment 
stated that the concept of persistence of antimicrobial activity is not 
consistent for surgical scrub and patient preoperative skin 
preparations, nor is it consistent with clinical practice. The comment 
asserted that the testing requirements for a patient preoperative skin 
preparation limit the definition of persistence to 6 hours of sustained 
activity after each product use. The comment recommended that 
persistence for surgical hand scrub products be defined as sustained 
activity of the antimicrobial formulation for a period of 6 hours after 
product use. Another comment asserted that persistence should not be 
required for any of the health care indications.
    (Response 14) In the 1994 TFM, we described the importance of 
persistence as a characteristic of antiseptic drug

[[Page 60489]]

products. We agreed with the Advisory Review Panel on OTC Miscellaneous 
External Drug Products' finding that persistence, defined as prolonged 
activity, is a valuable attribute that assures antimicrobial activity 
during the interval between washings and is important for a safe and 
effective health care personnel hand wash. We agreed that a property 
such as persistence, which acts to prevent the growth or establishment 
of transient microorganisms as part of the normal baseline or resident 
flora, would be an added benefit (59 FR 31402 at 31407). Accordingly, 
we proposed to include the persistence requirement in the definitions 
of patient preoperative skin preparations and surgical hand scrubs 
because we believe that persistence of antimicrobial effect would 
suppress the growth of residual skin flora not removed by preoperative 
prepping as well as transient microorganisms inadvertently added to the 
operative field during the course of surgery and reduce the risk of 
surgical wound infection. Specifically, we proposed to define patient 
preoperative skin preparation to be a fast acting, broad spectrum, and 
persistent antiseptic containing preparations that significantly reduce 
the number of micro-organisms on intact skin, and we proposed to define 
surgical hand scrub drug products to be an antiseptic containing 
preparation that significantly reduces the number of microorganisms on 
intact skin; it is broad spectrum, fast acting, and persistent (59 FR 
31402 at 31442). In addition, although we do not require persistence 
for health care personnel hand washes, we did propose to retain the 
words ``if possible, persistent'' in the definition of health care 
personnel hand wash (59 FR 31402 at 31442).
    FDA continues to believe that persistence of antimicrobial effect 
is an important attribute because it can suppress the growth of 
residual skin flora, as well as transient microorganisms not removed by 
preoperative prepping or hand scrubbing. FDA is also aware that the 
donning of surgical gloves may produce a rapid increase in microbial 
count on the hands (Refs. 16, 17, and 18), even after use of a surgical 
hand antiseptic product, which is another reason why persistence of 
effect is a critical characteristic for antiseptic products. 
Accordingly, we find that persistence is a requirement for surgical 
hand scrubs, surgical hand rubs, and patient preoperative skin 
preparations. We find that these antimicrobial products must be fast-
acting and consist of broad spectrum, persistent antiseptic-containing 
preparations that significantly reduce the number of microorganisms on 
intact skin. As discussed in section V.D.2 of this final rule, to show 
the persistence of effect for these health care antiseptic indications, 
the 6 hours post-treatment measurement should be lower than or equal to 
the baseline measurement for 100 percent of subjects for each 
indication and body area tested.
5. Controls
    (Comment 15) Several comments objected to the use of controls 
because we do not specify what positive control material to use in the 
effectiveness studies. One comment contended that, because the Agency 
does not specify the control product, the test results will differ 
depending on the effectiveness of the positive control. Another comment 
recommended that we convene an expert panel to develop standard 
positive controls. They cite the trend, on a worldwide basis, to 
identify and adopt standardized testing procedures. They believe it 
would be far better for the international harmonization effort if a 
standard chemical, rather than a specific product or commercial 
formulation, was used as the control. For these reasons, the comment 
recommended that the positive control should be a standard chemical 
that can be produced on a global basis and will perform consistently 
and reproducibly.
    Other comments requested that we clarify how to interpret the 
results of the positive control. One comment asked if our standard is 
meeting the required log reduction, superiority to the positive 
control, or both. Another comment pointed out that the Agency does not 
define the criterion for an acceptable outcome for the positive 
control. For instance, the comment states that it is unclear if an 80 
percent success rate in the positive control for a surgical hand scrub 
would be acceptable and if so, whether the new treatment could be 20 
percent less successful than the positive control and still be 
equivalent. For health care personnel hand washes, they assert that it 
is not clear if the control must meet the requirements of 2 and 3 
log10 reduction at the lower 95 percent confidence interval 
limit or an average. The comment requested that FDA specify criteria 
for validity of the study in terms of the positive control and criteria 
for concluding that a test material is effective in terms of 
equivalence to the positive control. One comment noted that the 
Agency's proposed patient preoperative skin preparation treatment 
application procedure does not include any reference to the active 
control sites.
    Several comments agreed that the Agency's proposed changes to the 
in vivo efficacy testing will reflect more accurately the real world 
use of topical antiseptic drug products. The comments requested that 
the Agency provide a validated ``gold standard'' for use as an active 
control. One comment stated that it is appropriate that GRAS/GRAE 
active ingredients would serve as the active control for any 
effectiveness studies required for final formulations. For example, the 
comment explained that alcohol at the concentration and application 
instructions evaluated in the pivotal studies to help establish GRAS/
GRAE status would become the active control for effectiveness studies 
involving alcohol-based final formulations. This would be more 
appropriate than using an FDA-approved product for the active control, 
particularly for alcohol-based hand sanitizer products where the only 
FDA-approved drug is a dual-active product.
    (Response 15) We do not define a specific positive control material 
to use in the effectiveness studies in this final rule, but we do 
recommend the use of an appropriate FDA-approved NDA antiseptic as the 
positive control (i.e., active control) when conducting the 
effectiveness testing of health care antiseptic active ingredients. We 
recognize that many countries have adopted standard chemicals for their 
active controls. However, we still believe that we cannot define a 
specific active control product for the following reasons:
     We do not have sufficient data to choose a specific 
universal active control product that will be appropriate for all test 
formulations or active ingredients.
     Changes to the formulation or manufacturing of the chosen 
active control product might affect its activity in future studies. 
Consequently, products tested against the modified active control might 
not be held to the same standards as products tested previously.
    Although we do not identify a specific control product, we do 
identify test criteria for the active control. As described in section 
V.D.2, we recommend the use of non-inferiority of the test product to 
an FDA-approved active control by a margin of 0.5 (log10 
scale). That is, we expect the upper bound of the 95 percent confidence 
interval of the ATE of the active control compared to the test product 
to be less than 0.5 (log10 scale). An active control is not 
intended to validate the study conduct or show superiority of the test

[[Page 60490]]

drug product, but to show that the test drug product is not inferior.
    In addition, we recommend the use of an active control product of 
the same type as the test product. For example, if the test product is 
a leave-on surgical hand antiseptic, then an FDA-approved leave-on 
surgical hand antiseptic should be used as the active control rather 
than a rinse-off surgical hand antiseptic. We believe it is more 
appropriate to compare similar types of products.
    (Comment 16) One comment stated that a vehicle typically refers to 
the product formulated without the active ingredient. The comment 
recommended that the term ``vehicle'' be replaced with the term 
``negative control.'' Another comment requested that FDA clarify 
whether testing of the vehicle is required.
    (Response 16) We recognize that the term ``negative control'' may 
be broader than the term ``vehicle,'' and we agree that the term 
``vehicle'' should be replaced with the term ``negative control'' where 
applicable. As discussed in section V.D.2, we recommend that the 
effectiveness testing study design for health care antiseptic active 
ingredients include a negative control arm, which is used as a 
comparator for the test product. The appropriate negative control to be 
used in the studies is the test product's vehicle, which we interpret 
to be the same product being tested, without the active ingredient 
included, and therefore, best represents the independent contribution 
of the antiseptic active ingredient. Because the same directions for 
use will apply to the negative control and the test product, this 
should account for any potential mechanical removal of microorganisms, 
which occurs during the rubbing, scrubbing, wiping, or rinsing process, 
independent of the active ingredient effect. If there is a scientific 
reason why testing a product using its vehicle as a negative control is 
not feasible, discussions can be had with FDA to determine whether the 
use of an alternative negative control, such as a saline solution or 
nonantimicrobial soap (for health care personnel and surgical hand 
antiseptics), may be acceptable.
    We note that the testing described in this document pertains to 
single active ingredients. Manufacturers should contact us if, in the 
future, they would like to develop a fixed-combination health care 
antiseptic drug product.
6. In Vitro Testing
    (Comment 17) One comment outlined the Agency's proposed 
requirements listed in the 2015 Health Care Antiseptic PR (80 FR 25166 
at 25177 to 25178) for an evaluation of the spectrum and kinetics of 
antimicrobial activity of a health care antiseptic as including the 
following:
     A determination of the in vitro spectrum of antimicrobial 
activity against recently isolated normal flora and cutaneous 
pathogens;
     Minimum inhibitory concentration (MIC) or minimum 
bactericidal concentration (MBC) testing of 25 representative clinical 
isolates and 25 reference strains of each of the microorganisms listed 
in the 1994 TFM; and
     Time-kill testing of each of the microorganisms listed in 
the 1994 TFM to assess how rapidly the antiseptic active ingredient 
produces its effect. The dilutions and time points tested should be 
relevant to the actual use pattern of the final product.

The comment requested that we confirm that the first bullet is meant to 
describe what will be learned from the studies outlined in the last two 
bullets because they do not recognize the first bullet as an actual 
study. The comment also asked for confirmation that the emergence of 
resistance testing is no longer a requirement.
    Another comment stated that the Agency has proposed in vitro 
testing of 1,150 microorganisms (25 clinical isolates and 25 reference 
isolates for 23 microorganisms). The comment argued that the Agency's 
suggestion that previous tests of the same or similar strains are no 
longer valid is arbitrary and that the requirement for new repeated 
tests is unduly burdensome. The comment asserted that the proposed 
number of clinical and reference isolates far exceeds the number 
required for FDA-approved hand hygiene products, which have 
successfully completed the review process. The comment recommended that 
organisms of current clinical value as well as recent clinical isolates 
be utilized to better assess the in vitro efficacy of these active 
ingredients. Another comment similarly asserted that the microorganisms 
identified by FDA for antimicrobial activity testing do not include 
pathogens that are relevant to current health care settings; the 
comment argued that the list should include Methicillin-resistant 
Staphylococcus aureus, Methicillin-resistant Staphylococcus 
epidermidis, Vancomycin-resistant Enterococcus; Enterococcus faecalis 
and Enterococcus faecium). Another comment proposed that FDA should 
consider adequate justifications for testing fewer than the identified 
strains for organisms where 25 clinical isolates and/or 25 standard 
strains are not available for screening active ingredients.
    (Response 17) We agree that the determination of the in vitro 
spectrum of antimicrobial activity against recently isolated normal 
flora and cutaneous pathogens is meant to describe what will be learned 
from the MIC and/or MBC and time-kill studies and is not intended to be 
a separate study. With regards to testing for the emergence of 
resistance, we are requiring resistance testing for three of the six 
deferred active ingredients--benzalkonium chloride, benzethonium 
chloride, and chloroxylenol (Refs. 10, 11, 12, 13, 14, and 15). 
However, we are not requiring resistance testing for the other three 
deferred active ingredients--ethyl alcohol, isopropyl alcohol, and 
povidone-iodine (see section V.D.2).
    In addition, we disagree that we are suggesting that previous tests 
of the same or similar strains are no longer valid. In the 2015 Health 
Care Antiseptic PR, we proposed the option of assessing the MBC as an 
alternative to testing the MIC. We also reiterated our proposal that 
the evaluation of the spectrum and kinetics of antimicrobial activity 
of health care antiseptic active ingredients should include MIC (or 
MBC) testing of 25 representative clinical isolates and 25 reference 
(e.g., ATCC) strains of each of the microorganisms listed in the 1994 
TFM, in addition to the other proposed requirements. In the 2015 Health 
Care Antiseptic PR, we noted that, despite the fact that the in vitro 
data submitted to support the effectiveness of antiseptic active 
ingredients were far less extensive than proposed in the 1994 TFM, 
manufacturers may have data from their own product development programs 
which they have not submitted to the docket and/or that published data 
may have become available that would satisfy some or all of the data 
requirements (80 FR 25166 at 25178).
    As we explained in the 2015 Health Care Antiseptic PR, we agree 
that the in vitro testing proposed in the 1994 TFM is not necessary for 
testing every final formulation of an antiseptic product that contains 
a GRAE ingredient (80 FR 25166 at 25177). However, we continue to 
believe that a GRAE determination for health care antiseptic active 
ingredients should be supported by adequate in vitro characterization 
of the antimicrobial activity of the ingredient. We note that, for the 
six deferred active ingredients, the Agency is reviewing proposed 
protocols for the safety and effectiveness studies, including the list 
of organisms for the time-kill testing and MIC/MBC testing, which may 
include additional resistant organisms that are relevant to current 
health care settings.

[[Page 60491]]

7. American Society for Testing and Materials Standards
    (Comment 18) Several comments proposed that the Agency recognize 
specific ASTM protocols as standardized test methods for demonstrating 
that an active ingredient is GRAE for use in health care antiseptics 
and demonstrating effectiveness for final product formulations. These 
ASTM test methods include the ASTM E1174 ``Standard Test Method for the 
Evaluation of the Effectiveness of Health Care Personnel Handwash 
Formulations''; the ASTM E2755-10 ``Standard Test Method for 
Determining the Bacteria-Eliminating Effectiveness of Hand Sanitizer 
Formulations Using Hands of Adults''; the ASTM E1115-11 ``Standard Test 
Method for Evaluation of Surgical Hand Scrub Formulations''; the ASTM 
E1173-15 ``Standard Test Method for Evaluation of Preoperative, 
Precatheterization, or Preinjection Skin Preparations''; the ASTM E1054 
``Standard Test Methods for Evaluation of Inactivators of Antimicrobial 
Agents''; the ASTM E2783 ``Standard Test Method for Assessment of 
Antimicrobial Activity for Water Miscible Compounds Using a Time-Kill 
Procedure''; and the Clinical and Laboratory Standards Institute M07-
A10 ``Methods for Dilution Antimicrobial Susceptibility Tests for 
Bacteria That Grow Aerobically.''
    (Response 18) For purposes of the six deferred active ingredients, 
we have reviewed these test methods and believe they may be useful to 
help establish GRAE status for the health care antiseptic products for 
their respective indications. We are currently discussing with 
manufacturers and trade organizations that requested the deferrals how 
these test methods may be used to meet the current effectiveness 
criteria.
    Testing requirements for final formulation, however, are not 
addressed in this final rule because none of the active ingredients 
subject to this final rule have been found to be GRAE for use in health 
care antiseptic products. The testing requirements for final 
formulation of these products containing the six deferred active 
ingredients will be addressed after a decision is made regarding the 
monograph status of those ingredients.

E. Comments on Safety and FDA Response

1. Need for Additional Safety Data
    (Comment 19) One comment supported FDA's proposal to require 
additional safety data for the health care antiseptic active 
ingredients. The comment agreed that more testing is needed to support 
a GRAS determination for these active ingredients. Other comments, 
however, asserted that the safety testing proposed in the 2015 Health 
Care Antiseptic PR for active ingredients used in health care 
antiseptics is unnecessary and burdensome. The comments asserted that 
FDA has not provided data to justify that additional safety data are 
needed for these ingredients to make a GRAS determination and stated 
that the extensive historical use of these products should serve as 
proof of the products' safety and effectiveness.
    Another comment stated that FDA must document how the systemic 
absorption levels of active ingredients from the use of health care 
antiseptics differ from FDA's previous assessment of the safety of 
these ingredients. The comment asserted that, given the lack of 
information on FDA's current position on the specific details regarding 
risk assessment, FDA should consider in vitro data and dose-
extrapolation data.
    Another comment suggested that long-term systemic exposure to 
active ingredients used in health care antiseptics could be reduced if 
the efficacy standards for these products were decreased because lower 
dose products could be formulated.
    (Response 19) We continue to believe that the additional safety 
data outlined in the 2015 Health Care Antiseptic PR are necessary to 
support a GRAS classification for the health care antiseptic active 
ingredients. As was explained in the 2015 Health Care Antiseptic PR, 
several important scientific developments that affect the safety 
evaluation of the health care antiseptic active ingredients have 
occurred since FDA's 1994 evaluation. New data and information on the 
health care antiseptic active ingredients raise concerns regarding 
potential risks from systemic absorption and long-term exposure, as 
well as development of bacterial resistance related to widespread 
antiseptic use (80 FR 25166 at 25167). Data that meet current safety 
standards are needed for FDA to conduct an adequate safety evaluation 
to ensure that health care antiseptic active ingredients are GRAS. 
Moreover, as previously explained in this document, the September 2014 
NDAC meeting participants discussed FDA's proposed revisions to the 
safety data requirements and agreed that these requirements were 
appropriate to demonstrate that a health care antiseptic active 
ingredient is GRAS. Participants at the September 2014 NDAC meeting 
further concluded that these safety standards are reasonable and 
considered them to be minimal safety standards for currently available, 
as well as future healthcare antiseptic products (Ref. 19).
    Moreover, the long history of use of a drug product is not 
sufficient to demonstrate the safety of the product. In the case of 
antiseptic products, the Agency has requested safety data in both the 
1994 TFM and the 2015 Health Care Antiseptic PR in order to finalize 
the antiseptic rules. Relying solely on adverse event reporting cannot 
fill data gaps regarding risks such as reproductive toxicity or 
carcinogenicity. As an example, phenolphthalein was an OTC product with 
a long history of use as a laxative, but when animal studies were 
conducted, evidence of carcinogenicity was detected. The April 30, 
1997, FDA Center for Drug Evaluation and Research (CDER) 
Carcinogenicity Assessment Committee (CAC) meeting concluded that there 
was supportive evidence indicating that phenolphthalein may be 
carcinogenic through a genotoxic mechanism. FDA concluded 
``phenolphthalein caused chromosome aberrations, cell transformation, 
and mutagenicity in mammalian cells. Because benign and malignant tumor 
formation occurs at multiple tissue sites in multiple species of 
experimental animals, phenolphthalein is reasonably anticipated to have 
human carcinogenic potential.'' This conclusion led to the removal of 
phenolphthalein from the market (64 FR 4535, 4538) (Ref. 20).
    Finally, in this context, the safety data required to make a final 
GRAS determination on active ingredients used in health care antiseptic 
products would remain the same even if FDA determined that the data 
requirements necessary to make a GRAE determination should be changed.
    (Comment 20) Several comments also stated that the additional 
testing requirements could cause disruptions of the availability of 
health care antiseptics for clinical use. One comment urged the Agency 
to fully consider the consequences of the additional testing 
requirements, especially at a time when hand hygiene is considered to 
be the cornerstone for preventing the spread of pathogenic organisms in 
health care settings.
    (Response 20) We agree that health care antiseptic products are an 
important component of infection control strategies in health care 
settings and remain the standard of care to prevent illness and the 
spread of infections (Refs. 7 and 8). As we emphasized in the 2015 
Health Care Antiseptic PR, our proposal for more safety and 
effectiveness data for health

[[Page 60492]]

care antiseptic active ingredients does not mean that we believe that 
health care antiseptic products containing these ingredients are 
ineffective or unsafe. However, data that meet current safety 
requirements are still needed to support a GRAS determination for these 
active ingredients used in health care antiseptic products.
    We do not believe that these additional testing requirements will 
disrupt the availability of health care antiseptics for clinical use. 
As explained in the 2015 Health Care Antiseptic PR, we provided a 
process for seeking an extension of time to submit the required safety 
and/or effectiveness data if needed (80 FR 25166 at 25169). As 
discussed in this document, we have deferred further rulemaking on six 
active ingredients used in OTC health care antiseptic products to allow 
for the development and submission of new safety and efficacy data. 
Although in this final rule we find that the 24 non-deferred active 
ingredients are not GRAS/GRAE for use in OTC health care antiseptic 
products, health care antiseptic drug products that have been approved 
under an NDA or that contain one or more of the six deferred active 
ingredients still continue to be available.
    Accordingly, we do not believe that the additional testing 
requirements will cause a disruption in the availability of OTC health 
care antiseptic products.
    (Comment 21) Another comment asserted that FDA's reasons for 
requesting additional safety data are flawed. The comment stated that 
FDA should analyze all existing hazard data and consider the extent of 
human or environmental exposure as part of the process for deciding the 
nature and extent of hazard data required to understand potential 
safety concerns. The comment asserted that data generation based on an 
understanding of human exposure prevents the irresponsible use of 
laboratory animals and waste of resources necessary to generate 
toxicology data that will not further inform potential safety 
decisions.
    The comment also contended that the safety data gaps cited by FDA 
for the ingredients in the 2015 Health Care Antiseptic PR (human 
pharmacokinetics, animal pharmacokinetics, carcinogenicity, 
reproductive toxicity, potential hormonal effects, and potential 
antimicrobial resistance) do not all have to be filled in order for FDA 
to make a GRAS determination. In support of its position, the comment 
cited FDA's presentation to the September 2014 NDAC meeting, and listed 
FDA's stated criteria associated with the GRAS standard, including: (1) 
A low incidence of adverse events when used as directed and in the 
context of warnings; (2) low potential for harm if abused under 
conditions of widespread availability; (3) significant human marketing 
experience; (4) and, adequate tests to show proof of safety, among 
other criteria. The comment stated that FDA is not taking into account 
the low incidence of adverse events associated with the use of 
antiseptic active ingredients and the overall acceptance of these 
products globally. The comment also mentioned that numerous scientific 
and regulatory bodies have performed exposure-driven risk assessments 
and have not required the types of human or animal data mentioned in 
the 2015 Health Care Antiseptic PR.
    (Response 21) FDA presented the safety paradigm for OTC health care 
antiseptics at the September 2014 NDAC meeting (Ref. 21) where the 
Agency sought NDAC's advice about the type and scope of safety data 
needed for OTC health care antiseptic products. In FDA's presentation 
to NDAC, we explained that when evaluating a proposed monograph active 
ingredient, FDA applies the following regulatory standards, which are 
cited in 21 CFR 330.10(a)(4)(i):
     Safety means a low incidence of adverse reactions or 
significant side effects under adequate directions for use and warnings 
against unsafe use, as well as low potential for harm which may result 
from abuse under conditions of widespread availability.
     Proof of safety shall consist of adequate tests by methods 
reasonably applicable to show the drug is safe under the prescribed, 
recommended, or suggested conditions of use. This proof shall include, 
but not be limited to, results of significant human experience during 
marketing.
     General recognition of safety shall ordinarily be based 
upon published studies, which may be corroborated by unpublished 
studies and other data.
    As FDA explained in its presentation, the proposed safety studies 
are necessary to provide data that are needed to support a GRAS 
determination for the health care antiseptic active ingredients. The 
NDAC unanimously agreed that the safety standards proposed by FDA are 
appropriate to support a GRAS determination for a health care 
antiseptic active ingredient. The NDAC also noted that the safety 
standards presented by FDA are reasonable minimal safety standards for 
the currently available antiseptics, as well as for products to be 
formulated in the future (Ref. 19) and are required to support a GRAS 
determination for these ingredients.
    In terms of animal testing, the September 2014 NDAC meeting 
addressed the issue of the appropriateness of conducting animal studies 
to obtain safety data for health care antiseptic products (Ref. 4). We 
understand that animal use in tests for the efficacy and safety of 
human and animal products has been and continues to be a concern, and 
FDA continues to support efforts to reduce animal testing, particularly 
where new alternative methods for safety evaluation have been validated 
and accepted by International Council for Harmonisation of Technical 
Requirements for Pharmaceuticals for Human Use (ICH) regulatory 
authorities. To address this issue, we encourage manufacturers to 
consult with the Agency on the use of non-animal testing methods that 
may be suitable, adequate, validated, and feasible to fill important 
data gaps that cannot be filled with marketing experience alone. 
However, there are still many areas where non-animal testing has not 
been sufficiently developed as an alternative option and animal studies 
are still considered necessary to fill important safety gaps (Refs. 4 
and 19).
2. MUsT Requirements
    (Comment 22) One comment asserted that FDA should reconsider the 
need to conduct MUsTs to assess systemic exposures associated with 
extreme use applications. The comment stated that the clinical utility 
of this testing has not been firmly established and the methodology 
necessary to conduct this type of testing has yet to be clearly 
validated to establish its utility. The comment argued that these types 
of studies need significant further development and validation before 
considering them a reliable method for systemic absorption studies and 
further guidance from FDA is needed. The comment said that FDA should 
also consider the use of existing modeling methods as a means to assess 
potential systemic exposure to avoid unnecessary clinical testing of 
active ingredients where modeling is available in conjunction with 
animal data.
    (Response 22) The MUsT paradigm has been used in the evaluation of 
topical dermatological agents approved in the United States since the 
early 1990s. It represents over 20 years of interactions with multi-
national drug companies, during which time the study design has been 
refined into its current state. Moreover, the MUsT is a published 
methodology that has been

[[Page 60493]]

presented at both national and international meetings. In addition, 
with respect to the six deferred active ingredients, FDA has been 
reviewing the MUsT protocol designs submitted by the manufacturers and 
trade organizations that have requested deferrals.
    FDA also understands and recognizes the potential of 
pharmacokinetic (PK) and physiologically-based pharmacokinetic (PBPK) 
modeling. FDA has considered these options and concluded that the 
currently proposed alternatives, including in silico, in vitro, and 
PBPK modeling, are not adequately validated to be a substitute for the 
MUsT described in the 2015 Health Care Antiseptic PR. We also note 
that, going forward, in order to validate the PBPK or any other 
alternative modeling-based approach, one would need, as part of their 
validation, a direct performance comparison to a series of in vivo 
MUsTs as part of the process to demonstrate the comparability and 
reproducibility of the results between the tests. For these reasons, we 
find that results from a human PK MUsT are needed to support a GRAS 
determination for active ingredients used in health care antiseptic 
products.
    (Comment 23) Another comment disagreed with FDA's position that the 
lack of pharmacokinetic data prevents FDA from calculating a margin of 
exposure for the risk assessment. The comment asserted that, although 
the safety evaluation of drugs may rely on correlating findings from 
animal toxicity studies to humans based on kinetic information in both 
species, safety evaluations for antiseptic ingredients in health care 
products are not based on kinetic information under standard 
international practice. Instead, the comment argued, safety evaluations 
are based on conservative assumptions of exposure and potential 
differences between species, and kinetic information is only required 
when use of these conservative assumptions fails to provide a 
sufficient margin of exposure. The comment stated that using these 
conservative and internationally accepted approaches, other scientific 
bodies and regulatory authorities have been able to complete the risk 
assessment for these types of ingredients in formulations with much 
greater levels of human exposure than these health care antiseptic 
uses. The European Commission Scientific Committee on Consumer Safety 
Guidance for the Testing of Cosmetic Substances and Their Safety 
Evaluation (8th Revision) was cited as a justification for this 
concept. Based on this reasoning, the comment asserted that FDA should 
not require additional animal testing unless the following conditions 
are met:
     Use of conservative approaches to calculate the margin of 
exposure is inadequate.
     The margin of exposure justifies the need for more data, 
but it is not possible to generate the data by non-animal approaches, 
such as using physiologically-based pharmacokinetic modeling, or 
through animal alternative test methods.
     There is perceived need for all active ingredients to have 
the same type of information.
    (Response 23) Calculating the margin of exposure was one of the 
topics discussed at the September 2014 NDAC meeting (Refs. 4 and 19). 
At that time, the consensus reached was that these types of 
calculations are more informed when taking the results of the MUsT-
acquired data and using that information along with the pharmacology/
toxicology results in the calculation of the safety margin. We also 
note that the references the comments provided for the risk assessment 
strategies that are followed by other international agencies are for 
cosmetic ingredients rather than for drug products. Accordingly, the 
referenced guidance may be designed to address different concerns than 
those at issue here.
    (Comment 24) Another comment stated that FDA should reconsider the 
concept of the MUsT and its value in determining the safety of health 
care antiseptic products. The comment said that the 2015 Health Care 
Antiseptic PR would require a MUsT to characterize maximum systemic 
exposure following health care antiseptic product use during the course 
of a work day or shift in health care settings. The comment stated that 
measured levels determined by the MUsT would establish the maximum 
systemic dose for the active ingredient in the particular antimicrobial 
product type, and the representativeness of the measured systemic 
active concentration would be dependent upon a number of variables 
associated with this trial, including the number of applications made 
per day or shift, the appropriate usage of the product, the 
concentration of active ingredient in the tested product, the 
sensitivity of the analytical method applied, and the extent to which 
the experimental protocol matches or approximates the actual usage of 
the product in the health care setting. The comment asserted that the 
use of the same product in different health care settings (e.g., out-
patient clinics or offices vs. emergency rooms or operating rooms) can 
be expected to have different patterns of use.
    The comment also argued that limitations exist in the practical 
conduct of a MUsT that influence and dictate what may be achieved by a 
specific protocol. The comment stated that practical requirements, for 
instance, the time needed to collect biological samples, or even to 
perform washing or application of the product, will dictate how many 
washes or applications are possible in a given time period regardless 
of what may be deemed desirable or required to evaluate perceived or 
empirical usage. As a result, the comment argued, the MUsT conditions 
described in the 2015 Health Care Antiseptic PR will result in assays 
that are very large and complex, and there is very little precedent to 
consult in the published literature. The comment also argued that the 
practical aspects of conducting a MUsT dictate what can reasonably be 
performed in terms of number of product applications, number of 
subjects, study arms, and timing. The comment asserted that if the 
defined, or desired, maximal use is not achievable in a MUsT and the 
resulting data do not meet the needs of the safety and risk assessment 
process, it is reasonable to question the utility, and expense, of 
conducting the study at all.
    (Response 24) The MUsT intends to reflect the upper end of use 
expected in the real-world. Because the MUsT is designed to represent, 
as closely as possible, the maximal use of the health care antiseptic 
product under actual use conditions in the health care setting, the 
conduct of the trial itself should be feasible. The goal of the MUsT is 
to evaluate absorption under conditions of maximum use, so lower rates 
of application, different sites, and different frequency of application 
will be covered. As we also mentioned, with respect to the six deferred 
active ingredients, FDA is reviewing protocol designs for the 
respective deferred active ingredients.
    (Comment 25) Another comment stated that, while data on the level 
of active ingredient in systemic circulation is arguably important for 
risk and safety assessment, it is not clear what any observed levels 
from MUsT may mean in this context in regards to risk and safety 
assessment. The comment argued that FDA has provided little guidance on 
how the MUsT data are used and that FDA has provided no data to 
indicate that there are any safety issues associated with any of the 
six active ingredients identified in the comment (alcohol, isopropyl 
alcohol, benzalkonium chloride, benzethonium

[[Page 60494]]

chloride, povidone-iodine, and chloroxylenol). The comment also 
asserted that, while the MUsTs will provide information on active 
ingredient levels in systemic circulation, it fundamentally remains a 
pharmacokinetic study. As such, the comment argued, it is not apparent 
that results from a MUsT will provide data that could not be better 
determined by an alternative or otherwise validated and accepted 
approach.
    (Response 25) We disagree with the comment's assertion that the 
Agency has not provided any data to indicate that there are safety 
issues associated with the six active ingredients identified in the 
comment, which are the six active ingredients we have deferred from 
this rulemaking. Based on known available data, including data 
submitted by the interested parties, FDA identified and summarized 
safety concerns and safety data gaps for the health care active 
ingredients at the September 2014 NDAC meeting (Refs. 4 and 21) and in 
the 2015 Health Care antiseptic PR (80 FR 25166 at 25179 to 25195).
    Moreover, the MUsT approach was specifically discussed at the 
September 2014 NDAC meeting (Refs. 4, 19, and 21). Information on 
systemic exposure derived from the MUsTs is necessary to determine a 
safety margin for the active ingredients. A margin of safety is a 
calculation that takes the no observed adverse effect level (NOAEL) 
derived from animal data and estimates a maximum safe level of exposure 
for humans, the data for which would be derived from data generated in 
the MUsT. In its objection to the proposed MUsT requirements, the 
comment did not provide an alternative or other validated and accepted 
approach available to assess human systemic exposure to the active 
ingredients (Refs. 4 and 21).
    (Comment 26) Another comment stated that if MUsTs are to be 
executed, field studies of health care facility application frequency 
would be necessary to determine maximum rates as adequate data do not 
currently exist. The comment asserted that while these studies could 
take the form of a direct observational study, other avenues may also 
be considered, such as the use of automated hand hygiene monitoring 
data. The comment also stated that this data acquisition approach is 
not subject to behavioral modification interferences by the observer, 
or hospital department access restrictions, such as the intensive care 
and surgery units. The comment asserted that this technology has 
recently progressed substantially in its sophistication and data 
reliability.
    (Response 26) As was mentioned earlier, FDA is discussing the 
design and conduct of their MUsT program of studies for the six 
deferred active ingredients.
    (Comment 27) One comment submitted in response to the 2015 Health 
Care Antiseptic PR stated its support for an industry comment submitted 
to the September 2014 NDAC meeting, which stated that the FDA proposed 
a safety testing program for OTC products similar to those required for 
new molecular entity or new chemical entity (NCE) review. The 
submission asserted that the active ingredients under the 1994 TFM are 
not NCEs and should not be subjected to requirements that surpass the 
requirements of a conventional NDA. The submission stated that, in 
FDA's proposal for the consumer antiseptic wash TFM, the 
unsubstantiated justification for additional safety data is stated as 
``new information regarding the potential risks from systemic 
absorption and long-term exposure to antiseptic active ingredients'' 
and the fact that exposure may be ``higher than previously thought,'' 
which, the submission argued, is not supported by information in the 
2013 Consumer Antiseptic Wash PR or in the docket.
    (Response 27) The assertion that the standards being proposed 
``surpass the requirements of a conventional NDA'' is incorrect. As an 
example, the MUsT has been required of topical NDA products approved 
since the early 1990s. Also, a MUsT is often necessary to assess 
absorption when a topical NDA product is reformulated. Whereas, for the 
health care antiseptic products under consideration in this rulemaking, 
once an active ingredient is determined to be GRASE for a particular 
indication, although in vitro testing would be required under the 
current framework, no further in vivo studies, including a MUsT, would 
be required unless in vitro testing suggests that substantially greater 
absorption may occur with a particular formulation.
3. Carcinogenicity Studies
    (Comment 28) Several comments asked FDA to reconsider the 
requirements for carcinogenicity studies, asserting that a good quality 
systemic carcinogenicity data set exists, along with in vitro genetic 
toxicology studies, for the majority of the active ingredients. The 
comments stated that it is unclear why FDA is requesting additional 
carcinogenicity studies for these ingredients. The comments also 
asserted that FDA should justify the requirement for additional 
carcinogenicity studies by the dermal route of exposure when a 
carcinogenicity study by the oral route exists because it is highly 
unlikely that systemic exposure would be higher from the dermal route 
of exposure than that resulting from the oral route of exposure. One 
comment requested that FDA focus on the ``health effects to be 
addressed in the safety assessment'' rather than establishing ``studies 
to be performed.'' Another comment stated that if inhalation 
carcinogenicity data are available, that such data may be used for 
worst-case exposure scenarios.
    (Response 28) The FDA is requesting dermal carcinogenicity 
assessment for these topically applied ingredients because the dose 
that the skin is exposed to following topical exposure can be much 
higher than the skin dose resulting from systemic exposure (81 FR 61106 
at 61123). FDA does not consider in vitro genetic toxicology studies to 
be a substitute for in vivo carcinogenicity studies. In addition, 
systemic exposure to the parent drug and metabolites can differ 
significantly in topically applied products, compared to orally 
administered products because the skin has its own metabolic capability 
(81 FR 61106 at 61123). Furthermore, the first-pass metabolism, which 
is available following oral exposure, is bypassed in the topical route 
of administration (81 FR 61106 at 61123) (Ref. 22). Dermal 
carcinogenicity studies, therefore, are not used solely to assess the 
effect of a drug on the skin tissue, but rather to evaluate the effect 
of topical exposure to all tissues of the treated animals.
4. Hormonal Effects
    (Comment 29) One comment agreed with the Agency that any 
toxicological risk assessment should consider whether, under conditions 
of use, an ingredient could cause adverse effects as a result of its 
ability to interfere with endocrine homeostasis. The comment also 
agreed with the Agency's statement that general and reproductive 
toxicology studies are generally adequate to identify potential 
hormonal effects. The comment urged FDA to take a flexible approach to 
measuring hormonal effects, and stated that any potential for hormonal 
effects can be addressed by the interpretation of repeat-dose or 
developmental and reproductive toxicity testing (DART) data. 
Specifically, the comment stated that FDA should emphasize that a 
repeat-dose DART study will provide the point of departure (e.g., 
NOAEL, Benchmark Dose Lower Bound of 10) for an ingredient that acts by 
an endocrine mode of action.
    (Response 29) We agree that data for hormonal effects can be 
gleaned from

[[Page 60495]]

previously conducted studies (chronic toxicity, DART, and 
multigenerational studies). As stated in the 2015 Health Care 
Antiseptic PR, data obtained from general nonclinical toxicity studies 
and reproductive/developmental studies, such as the repeat-dose 
toxicity, DART and carcinogenicity, are generally sufficient to 
identify potential hormonal effects in the developing offspring. We 
also stated that, if no signals are obtained from these studies, 
assuming the studies covered all the life stages (i.e., pregnancy, 
infancy, adolescence), then no further assessment of drug-induced 
hormonal effects are needed (80 FR 25166 at 25182 to 25183). However, 
if a positive response is seen in any of these animal studies that 
requires further investigation, additional studies, such as mechanistic 
studies, may be needed (Refs. 23, 24, and 25). In terms of the 
methodology used for the risk assessment of drug products, FDA does not 
follow the theoretical point of departure approach for assessing 
toxicological endpoints such as endocrine activity for drug products. 
Rather, FDA relies on the traditional NOAEL to identify a dose-response 
relationship in conducting its risk assessment (Refs. 26 and 27).
5. Resistance
    (Comment 30) Numerous comments on the issue of bacterial resistance 
were submitted in response to the 2015 Health Care Antiseptic PR. In 
general, the comments disagreed on whether antiseptics pose a public 
health risk from bacterial resistance. Some comments argued that the 
pervasive use of health care antiseptics poses an unacceptable risk for 
the development of resistance and that such products should be banned. 
Other comments argued that antiseptics do not pose such risks and 
criticized the data on which they believe FDA based its concerns.
    Specifically, several comments dismissed the in vitro data cited by 
FDA in the 2015 Health Care Antiseptic PR as not reflecting real-life 
conditions. The comments recommended that the most useful assessment of 
the risk of biocide resistance and cross-resistance to antibiotics are 
in situ studies, studies of clinical and environmental strains, or 
biomonitoring studies. Some comments asserted that studies of this type 
have reinforced the evidence that resistance and cross-resistance 
associated with antiseptics is a laboratory phenomenon observed only 
when tests are conducted under unrealistic conditions. One comment 
stated that there is little credible evidence that antiseptic products 
play any role in antibiotic resistance in human disease. The comment 
stated that, while some in vitro lab studies have been successful in 
forcing expression of resistance in some bacteria to antiseptic active 
ingredients, real world data from community studies using actual 
product formulations show no correlation between the use of such 
products and antibiotic resistance. The comment stated that further 
evidence of real world data showing no antimicrobial resistance 
development after the continued use of consumer products containing 
antimicrobial active compounds can be extracted from oral care clinical 
studies, which provide in vivo data, under well-controlled conditions, 
on exposure to antimicrobial-containing formulations over prolonged 
periods of time (e.g., 6 months to 5 years). Another comment cited the 
conclusions of an International Conference on Antimicrobial Research 
held in 2012 on a possible connection between biocide (antiseptic or 
disinfectant) resistance and antibiotic resistance to support the point 
that there is no correlation between antiseptic use and antibiotic 
resistance.
    (Response 30) As stated in the 2015 Health Care Antiseptic PR, we 
continue to believe that the development of bacteria that are resistant 
to antibiotics is an important public health issue, and additional data 
may tell us whether use of antiseptics in health care settings may 
contribute to the selection of bacteria that are less susceptible to 
both antiseptics and antibiotics (80 FR 25166 at 25183). Thus, we have 
conducted ingredient-specific reviews of the literature pertaining to 
antiseptic resistance and antibiotic cross-resistance, and determined 
that additional studies to assess the development of cross-resistance 
to antibiotics are needed for three of the deferred active 
ingredients--benzalkonium chloride, benzethonium chloride, and 
chloroxylenol. In the case of ethyl alcohol and isopropyl alcohol, 
sufficient data has been provided to assess the risk of antiseptic 
resistance and antibiotic cross-resistance.
    Laboratory studies have identified and characterized bacterial 
resistance mechanisms that confer a reduced susceptibility to 
antiseptics and, in some cases, antibiotics. Specifically, these data 
suggest that resistance development in the laboratory is very common 
for some active ingredients, such as benzethonium and benzalkonium 
chloride (Refs. 28, 29, 30, 31, and 32), and chloroxylenol (Refs. 33, 
34, 35, 36, 37, and 38). In contrast, resistance to other active 
ingredients, such as povidone-iodine (Refs. 39, 40, and 41) occurs 
infrequently in the laboratory setting. We acknowledge that 
observations made in the laboratory setting are not necessarily 
replicated in the real world setting. Therefore, we assessed additional 
studies performed in the clinical setting.
    Studies performed using clinical isolates found strong evidence of 
antiseptic resistance to benzethonium and benzalkonium chloride (Refs. 
42, 43, 44, 45, 46, 47, 48, 49, and 50). Antiseptic resistance genes 
qacA/B (Ref. 47) and qacE (Ref. 47) were identified and in 83 percent 
and 73 percent of the isolates tested, respectively, correlated with 
reduced susceptibility to benzalkonium and benzethonium chloride. In 
contrast, two studies published by Kawamura-Sato et al. (Refs. 51 and 
52) found the MIC of benzalkonium chloride for 283 clinical isolates to 
be well within in-use concentration.
    Only one clinical study could be found assessing resistance to 
chloroxylenol. Khor et al. (Ref. 53) collected samples from 
disinfectant solutions in hospitals. Of the chloroxylenol solutions 
tested, 42 percent had bacterial contamination. Isolation of these 
bacteria demonstrated that 81 percent were resistant to chloroxylenol, 
suggesting that these organisms have adapted to survival at 
concentrations which are usually bactericidal. Clinical studies 
assessing bacterial resistance to povidone-iodine were primarily 
negative (Refs. 38, 39, 40, 41, 42, 43, 44, 45, 46, 47, 48, 49, 54, 55, 
56, 57, 58, 59, 60, 61, 62, 63, and 64). Only one study, by Mycock et 
al. (Ref. 65), demonstrated resistance to povidone-iodine using 
clinical isolates, yet this study could not be repeated (Ref. 66). We 
believe that there is sufficient information to determine that exposure 
to povidone-iodine does not lead to the development of bacterial 
resistance, but additional data is necessary to assess this issue with 
regards to chloroxylenol.
    Other studies examined a possible correlation between antiseptic 
and antibiotic resistance (Refs. 38, 39, 40, 41, 42, 43, 44, 45, 46, 
47, 48, 49, 52, 53, 54, 55, 67, 68, 69, 70, 71, and 72). Comparisons 
suggest that alterations in the mean susceptibility of Staphylococcus 
aureus to antimicrobial biocides occurred between 1989 and 2000, but 
these changes were mirrored in both methicillin resistant and 
susceptible Staphylococcus aureus, suggesting that methicillin 
resistance has little to do with these changes (Ref. 72). In 
Staphylococcus aureus, Escherichia coli, and Pseudomonas aeruginosa, 
several correlations (both positive and negative) between antibiotics 
and antimicrobial biocides

[[Page 60496]]

were found (Refs. 52, 54, 56, 67, 70, and 72). From the analyses of 
these clinical isolates, it is very difficult to support a hypothesis 
that increased biocide resistance is a cause of increased antibiotic 
resistance in these species.
    In general, studies have not clearly demonstrated an impact of 
antiseptic bacterial resistance mechanisms in the clinical setting. 
However, the available studies have limitations. As we noted in the 
2015 Health Care Antiseptic PR, studies in a clinical setting that we 
evaluated were limited by the small numbers and types of organisms, the 
brief time periods, and the locations examined. Bacteria expressing 
resistance mechanisms with a decreased susceptibility to antiseptics 
and some antibiotics have been isolated from a variety of natural 
settings (Refs. 73 and 74). Although the prevalence of antiseptic 
tolerant subpopulations in natural microbial populations is currently 
low, overuse of antiseptic active ingredients has the potential to 
select for resistant microorganisms.
    In sum, adequate data do not exist currently to determine whether 
the development of bacterial antiseptic resistance could also select 
for antibiotic resistant bacteria or how significant this selective 
pressure would be relative to the overuse of antibiotics, an important 
driver for antibiotic resistance. Moreover, the possible correlation 
between antiseptic and antibiotic resistance is not the only concern. 
Reduced antiseptic susceptibility may allow the persistence of 
organisms in the presence of low-level residues and contribute to the 
survival of antibiotic resistant organisms. Data are not currently 
available to assess the magnitude of this risk.
    (Comment 31) The comments also disagreed on the data needed to 
assess the risk of the development of resistance. One comment disagreed 
with the proposed testing described in the 2015 Health Care Antiseptic 
PR, arguing that there are no standard laboratory methods for 
evaluating the development of antimicrobial resistance. With regard to 
the recommendation for mechanism studies, they believed that it is 
unlikely that this kind of information can be developed for all active 
ingredients, particularly given that the mechanism(s) of action may be 
concentration dependent and combination/formulation effects may be 
highly relevant. The comments also believed that data characterizing 
the potential for transferring a resistance determinant to other 
bacteria is also an unrealistic requirement for a GRAS determination.
    Conversely, one comment recommended that antimicrobial resistance 
be addressed first through in vitro MIC determinations. The comment 
stated that, if an organism is shown to develop resistance rapidly, FDA 
should consider this information in its evaluation. The commenter 
believed that this test of the potential for the development of 
resistance is important because health care compliance with recommended 
use of health care antiseptic wash products is variable and products 
that result in the rapid development of antimicrobial resistance would 
pose a public health risk. The comment also asserted that GRAS/GRAE 
ingredients should pose little in the way of a resistance risk.
    (Response 31) In the 2015 Health Care Antiseptic PR, we described 
the data needed to help establish a better understanding of the 
interactions between antiseptic active ingredients in health care 
antiseptic products and bacterial resistance mechanisms and the data 
needed to provide the information necessary to perform an adequate risk 
assessment for these health care product uses. We suggested a tiered 
approach as an efficient means of developing data to address this 
resistance issue--beginning with laboratory studies aimed at evaluating 
the impact of exposure to nonlethal amounts of antiseptic active 
ingredients on antiseptic and antibiotic bacterial susceptibilities, 
along with additional data, if necessary, to help assess the likelihood 
that changes in susceptibility observed in the preliminary studies 
would occur in the health care setting (80 FR 25166 at 25183 to 25184).
    As we explained in the 2015 Health Care Antiseptic PR, we recognize 
that the science of evaluating the potential of compounds to cause 
bacterial resistance is evolving and acknowledged the possibility that 
alternative data may be identified as an appropriate substitute for 
evaluating resistance (80 FR 25166 at 25180). We also explained that we 
are aware that there are no standard protocols for these studies, but 
there are numerous publications in the literature of studies of this 
type that could provide guidance on the study design (Refs. 75, 76, and 
77).
    As explained in this document, we have deferred from this 
rulemaking six of the active ingredients used in health care antiseptic 
products, and we are discussing proposed protocols for the safety and 
effectiveness studies (Refs. 10, 11, 12, 13, 14, and 15). For those 
active ingredients for which resistance testing is required--
chloroxylenol, benzethonium chloride, and benzalkonium chloride--we 
have advised manufacturers, as an initial step, to conduct an active 
ingredient-specific literature review related to antiseptic resistance 
and antibiotic cross-resistance to assess the active ingredient's 
effect on development of cross-resistance to antiseptics and 
antibiotics in the health care setting, and to submit as much 
information and data as can be provided. If the literature review 
results show evidence of antiseptic or antibiotic resistance, 
additional studies may be necessary, consistent with the 
recommendations outlined in the 2015 Health Care Antiseptic PR (80 FR 
25166 at 25183 to 25184), to help assess the impact of the active 
ingredient on antiseptic and antibiotic susceptibilities. If, however, 
the literature review provides no evidence that the active ingredient 
affects antiseptic or antibiotic susceptibility, then it is likely that 
no further studies to address development of resistance will be needed 
to support a GRAS determination.
6. Other Safety Issues
    (Comment 32) One comment also stated that FDA's evaluation of risks 
associated with the extensive use of health care antiseptic soaps by 
health care workers should include the data from the Nurses' Health 
Studies (NHS), which are a series of long-term studies of health 
outcomes in several large cohorts of nurses. The comment asserted that 
these studies did not show any evidence that the use of topical health 
care antiseptics leads to adverse health outcomes in nurses. The 
comment concedes that the studies were not designed to evaluate risks 
associated with the use of antiseptic soaps, but still believes these 
studies are adequate to detect clinically-relevant health outcomes, 
including those associated with endocrine effects, that might arise 
from the use of antiseptic soaps.
    The comment also noted that the FDA's Safety Information and 
Adverse Event Reporting Program, MedWatch, did not have any safety-
related reports on the health care antiseptic products identified in 
the 2015 Health Care Antiseptic PR. In addition, the comment stated 
that FDA has not issued any safety alerts related to antiseptic skin 
products.
    (Response 32) FDA searched the NHS website cited in the comment, 
www.channing.harvard.edu/nhs/, and there did not appear to be any 
studies listed that specifically evaluated the health outcomes of 
nurses after using health care antiseptics. As the comment noted, the 
NHS studies were not designed to evaluate risks associated with the use 
of antiseptic soaps. In addition, in order to effectively evaluate the 
safety of an active ingredient or

[[Page 60497]]

drug, FDA uses data in which a control group is included in the study 
to compare to the treatment groups. A prospective NHS study evaluating 
the effect of exposure to the active ingredients in health care 
antiseptics would require a control group in which there is no exposure 
to health care antiseptic active ingredients. However, because all 
nurses in health care environments in which NHS studies have been 
conducted have to adhere to a universal hand washing protocol using 
antiseptic active ingredients, it is not possible to include a control 
group with no exposure to healthcare antiseptics in a NHS study.
    We also note that the safety signals FDA uses in making a GRAS 
determination, such as developmental and reproductive toxicity, 
carcinogenicity, or hormonal effects, would not likely be reported by 
consumers or health care professionals to MedWatch. Thus, the lack of 
MedWatch safety-related reports does not eliminate the need for the 
safety data outlined in the 2015 Health Care Antiseptic PR.
    (Comment 33) One comment stated that, for FDA to fully assess the 
safety of the health care topical antiseptic active ingredients, it 
must consider the impact of exposure on groups that may be particularly 
sensitive to exposure, including pregnant women, children, and the 
elderly, particularly with regards to chronic or highly sensitive 
(e.g., newborn infant) exposure.
    The comment also proposed that in classifying an ingredient as 
GRAS/GRAE, FDA should expand the health impacts (e.g., impact on the 
microbiome) and should consider ``clinically-relevant'' effectiveness 
(e.g., reduction of bacteria typically found in health care settings). 
The comment added that the final rule should incorporate safety 
standards to protect populations, outside of health care personnel, 
that could experience increased adverse events upon exposure to 
antiseptic products. The comment contended that the effect of 
antiseptic active ingredients on the microbiome should be more 
thoroughly considered in the final monograph to incorporate the effects 
into the benefit-to-risk calculation.
    The comment also asserted that data used in the safety evaluation 
of these ingredients should include metabolic parameters of disease 
states of individuals who would be chronically exposed to health care 
antiseptics in animal pharmacokinetic absorption, distribution, 
metabolism, and excretion (ADME) models.
    (Response 33) We agree that the impact of exposure to sensitive 
populations should be considered. Our paradigm of safety evaluation, 
which includes a battery of safety studies (ADME, MUsT, 
carcinogenicity, DART, and hormonal effects), can be used to establish 
a safety margin for potential safety signals in all populations, 
including sensitive ones.
    Currently, the effect of health care antiseptic active ingredients 
on the microbiome have not been included as a safety signal in 
classifying an active ingredient as GRAS or non-GRAS. FDA will continue 
to monitor emerging technologies that can help address safety signals 
for all of the products that it regulates, including products under the 
OTC topical antiseptic monograph.
    In addition, because there are many disease states which health 
care professionals or patients could have, it is not feasible to 
develop metabolic parameters for individual disease states in 
conducting the GRAS determinations of the active ingredients used in 
health care antiseptic products. Nor could one prospectively identify 
which specific metabolic parameters should be tracked, or if there were 
defined levels of changes in each parameter that would be of concern.
    (Comment 34) Another comment stated that FDA needs to address the 
impact of inactive ingredients and final formulations on the safety 
assessments of health care antiseptic products.
    (Response 34) Testing requirements for the final product 
formulations, which would require exposure to both active and inactive 
ingredients, are not addressed in this final rule because none of the 
active ingredients that are the subject of this final rule are 
considered GRAS/GRAE for use in health care antiseptic products, given 
the lack of sufficient effectiveness and safety data submitted for 
these ingredients. The testing requirements for final formulations of 
products containing the six deferred active ingredients will be 
addressed, if applicable, after a decision is made regarding the 
monograph status of those ingredients.
    (Comment 35) One comment indicated that the cost of conducting 
safety studies is expensive and asserted that the testing requirements 
run counter to the spirit of the OTC monograph. The comment proposed 
that the safety studies, should therefore, be conducted by academic and 
National Institutes of Health (NIH) investigators.
    (Response 35) The monograph process is public in nature and studies 
may be conducted by any interested parties, including academics and NIH 
investigators. FDA is willing to review all relevant available data in 
order to reach a final determination of safety and effectiveness. 
Ultimately, manufacturers are responsible for the safety and 
effectiveness of the drug products they market.
    (Comment 36) One comment contended that NDA products, such as 
Avagard (1 percent chlorhexidine gluconate, 62 percent ethyl alcohol) 
should be subject to the safety standards proposed in the 2015 Health 
Care Antiseptic PR.
    (Response 36) FDA regulates NDA products under a different 
regulatory pathway than the OTC drug monograph products, such as the 
OTC health care antiseptics that are the subject of this rulemaking. We 
consider safety criteria for both monograph and NDA products. The 
review of an individual product under an NDA may warrant a different 
assessment than a group of active ingredients used in a range of 
products.

F. Comments on the Preliminary Regulatory Impact Analysis and FDA 
Response

    (Comment 37) Several comments raised issues concerning the 
preliminary regulatory impact analysis and the Agency's assessment of 
the net benefit of the rulemaking.
    (Response 37) Our response is provided in the full discussion of 
economic impacts, available in the docket for this rulemaking (Docket 
No. FDA-2015-N-0101, (Ref. 78), https://www.regulations.gov) and at 
https://www.fda.gov/AboutFDA/ReportsManualsForms/Reports/EconomicAnalyses/default.htm.

VI. Ingredients Not Generally Recognized as Safe and Effective

    No additional safety or effectiveness data have been submitted to 
support a GRAS/GRAE determination for the non-deferred health care 
antiseptic active ingredients described in this rule. Thus, the 
following active ingredients are not GRAS/GRAE for use as a health care 
antiseptic:

 Chlorhexidine gluconate
 Cloflucarban
 Fluorosalan
 Hexachlorophene
 Hexylresorcinol
 Iodophors (Iodine-containing ingredients)
[cir] Iodine complex (ammonium ether sulfate and polyoxyethylene 
sorbitan monolaurate)
[cir] Iodine complex (phosphate ester of alkylaryloxy polyethylene 
glycol)
[cir] Iodine tincture USP
[cir] Iodine topical solution USP
[cir] Nonylphenoxypoly (ethyleneoxy) ethanoliodine

[[Page 60498]]

[cir] Poloxamer--iodine complex
[cir] Undecoylium chloride iodine complex
 Mercufenol chloride
 Methylbenzethonium chloride
 Phenol
 Secondary amyltricresols
 Sodium oxychlorosene
 Tribromsalan
 Triclocarban
 Triclosan
 Triple dye
 Combination of calomel, oxyquinoline benzoate, 
triethanolamine, and phenol derivative
 Combination of mercufenol chloride and secondary 
amyltricresols in 50 percent alcohol

    Accordingly, OTC health care antiseptic drug products containing 
these active ingredients will require approval under an NDA or ANDA 
prior to marketing.

VII. Compliance Date

    In the 2015 Health Care Antiseptic PR, we recognized, based on the 
scope of products subject to this final rule, that manufacturers would 
need time to comply with this final rule. Thus, as proposed in the 2015 
Health Care Antiseptic PR (80 FR 25166 at 25195), this final rule will 
be effective 1 year after the date of the final rule's publication in 
the Federal Register. On or after that date, any OTC health care 
antiseptic drug products containing an ingredient that we have found in 
this final rule to be not GRAS/GRAE cannot be introduced or delivered 
for introduction into interstate commerce unless it is the subject of 
an approved NDA or ANDA.

VIII. Summary of Regulatory Impact Analysis

    The summary analysis of benefits and costs included in this final 
rule is drawn from the detailed Regulatory Impact Analysis that is 
available at https://www.regulations.gov, Docket No. FDA-2015-N-0101, 
(Ref. 78).

A. Introduction

    We have examined the impacts of the final rule under Executive 
Order 12866, Executive Order 13563, Executive Order 13771, 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, and other 
advantages; distributive impacts; and equity). Executive Order 13771 
requires that the costs associated with significant new regulations 
``shall, to the extent permitted by law, be offset by the elimination 
of existing costs associated with at least two prior regulations.'' We 
believe that this final rule is a significant regulatory action as 
defined by Executive Order 12866. This final rule is considered an 
Executive Order 13771 regulatory action.
    The Regulatory Flexibility Act requires us to analyze regulatory 
options that would minimize any significant impact of a rule on small 
entities. Because we estimate that only four small businesses will be 
adversely affected by the final rule, 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 proposing ``any rule that 
includes any Federal mandate that may result in the expenditure by 
State, local, and tribal governments, in the aggregate, or by the 
private sector, of $100,000,000 or more (adjusted annually for 
inflation) in any one year.'' The current threshold after adjustment 
for inflation is $148 million, using the most current (2016) 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

    As discussed in the preamble of this final rule, this rule 
establishes that 24 eligible active ingredients are not generally 
recognized as safe and effective for use in OTC health care 
antiseptics. However, data from the FDA drug product registration 
database suggest that only one of these 24 ingredients is found in OTC 
health care antiseptic products currently marketed pursuant to the TFM: 
Triclosan. Regulatory action is being deferred on six active 
ingredients that were addressed in the health care antiseptic proposed 
rule: Benzalkonium chloride, benzethonium chloride, chloroxylenol, 
ethyl alcohol, isopropyl alcohol, and povidone-iodine. This final rule 
also addresses the eligibility of three active ingredients--alcohol 
(ethyl alcohol, see section V.C.3), benzethonium chloride, and 
chlorhexidine gluconate--and finds that these three active ingredients 
are ineligible for evaluation under the OTC Drug Review for certain 
health care antiseptic uses (see section IV.D.1, table 3). To our 
knowledge, there is only one ineligible product currently on the 
market, an alcohol-containing surgical hand scrub, which is affected by 
this rule.
    Benefits are quantified as the volume reduction in exposure to 
triclosan found in health care antiseptic products affected by the 
rule, but these benefits are not monetized. Annual benefits are 
estimated to be a reduction in exposure of 88,000 kg of triclosan per 
year.
    Costs are calculated as the one-time costs associated with 
reformulating health care antiseptic products containing the active 
ingredient triclosan and relabeling reformulated products, plus the 
lost producer surplus (measured as lost revenues) due to removing one 
alcohol surgical hand scrub from the market. We believe that the 
alcohol-containing surgical hand scrub that is affected by this rule is 
likely to be removed from the market. We categorize the associated loss 
of sales revenue as a transfer from one manufacturer to another and not 
a cost, because we assume that the supply of other, highly 
substitutable, products is highly elastic.
    Annualizing the one-time costs over a 10-year period, we estimate 
total annualized costs to range from $1.1 to $4.1 million at a 3 
percent discount rate, and from $1.2 to $4.7 million at a 7 percent 
discount rate. The present value of total costs ranges from $9.0 to 
$34.6 million at a 3 percent discount rate, and from $8.7 to $29.6 
million at a 7 percent discount rate.
    In this final rule, small entities will bear costs to the extent 
that they must reformulate and re-label any health care antiseptic 
containing triclosan that they produce. The average cost to small firms 
of implementing the requirements of this final rule is estimated to be 
$213,176 per firm. The costs of the changes, along with the small 
number of firms affected, implies that this burden would not be 
significant, so we certify that this final rule will not have a 
significant economic impact on a substantial number of small entities. 
This analysis, together with other relevant sections of this document, 
serves as the Regulatory Flexibility Analysis, as required under the 
Regulatory Flexibility Act.
    We have developed a comprehensive Economic Analysis of Impacts that 
assesses the impacts of the final rule. The full analysis of economic 
impacts is available in docket FDA-2015-N-0101 (Ref. 78) and at https://www.fda.gov/AboutFDA/ReportsManualsForms/Reports/EconomicAnalyses/default.htm.

[[Page 60499]]

[GRAPHIC] [TIFF OMITTED] TR20DE17.001


                                  Table 5--Executive Order 13771 Summary Table
                           [In $ millions 2016 dollars, over an infinite time horizon]
----------------------------------------------------------------------------------------------------------------
                                                                                    Lower bound     Upper bound
                                                                   Primary (7%)        (7%)            (7%)
----------------------------------------------------------------------------------------------------------------
Present value of costs..........................................          $17.19           $8.68          $29.47
Present Value of Cost Savings...................................  ..............  ..............  ..............
Present Value of Net Costs......................................           17.19            8.68           29.47
Annualized Costs................................................            1.20            0.61            2.06
Annualized Cost Savings.........................................  ..............  ..............  ..............
Annualized Net Costs............................................            1.20            0.61            2.06
----------------------------------------------------------------------------------------------------------------

IX. Paperwork Reduction Act of 1995

    This final rule contains no collection of information. Therefore, 
clearance by OMB under the Paperwork Reduction Act of 1995 is not 
required.

X. Analysis of Environmental Impact

    We have determined under 21 CFR 25.31(a) that this action is of a 
type that does not individually or cumulatively have a significant 
effect on the human environment. Therefore, neither an environmental 
assessment nor an environmental impact statement is required.

XI. Federalism

    We have analyzed this final rule in accordance with the principles 
set forth in Executive Order 13132. Section 4(a) of the Executive order 
requires agencies to ``construe . . . a Federal statute to preempt 
State law only where the statute contains an express preemption 
provision or there is some other clear evidence that the Congress 
intended preemption of State law, or where the exercise of State 
authority conflicts with the exercise of Federal authority under the 
Federal statute.'' The sole statutory provision giving preemptive 
effect to the final rule is section 751 of the FD&C Act (21 U.S.C. 
379r). We have complied with all of the applicable requirements under 
the Executive order and have determined that the preemptive effects

[[Page 60500]]

of this rule are consistent with Executive Order 13132.

XII. References

    The following references are on display at the office of the 
Dockets Management Staff (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 all website addresses, as of the date of this document 
publishes in the Federal Register, but websites are subject to change 
over time.

1. Transcript of the January 22, 1997, Joint Meeting of the 
Nonprescription Drugs and Anti-Infective Drugs Advisory Committees, 
OTC Vol. 230002. Available at https://www.regulations.gov/document?D=FDA-2015-N-0101-0008.
2. Comment submitted in Docket No. FDA-1975-N-0012-0081. Available 
at https://www.regulations.gov/document?D=FDA-1975-N-0012-0081.
3. Transcript of the March 23, 2005, Nonprescription Drugs Advisory 
Committee. Available at http://www.fda.gov/ohrms/dockets/ac/05/transcripts/2005-4098T1.htm.
4. Transcript of the September 3, 2014, Meeting of the 
Nonprescription Drugs Advisory Committee 2014. Available at https://wayback.archive-it.org/7993/20170404152741/https://www.fda.gov/downloads/AdvisoryCommittees/CommitteesMeetingMaterials/Drugs/NonprescriptionDrugsAdvisoryCommittee/UCM421121.pdf.
5. Part 130-New Drugs, Procedures for Classification of Over-the-
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45. Ghasemzadeh-Moghaddam, H., et al., Methicillin-Susceptible and -
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20(5): p. 472-77, 2014. Available at https://www.ncbi.nlm.nih.gov/pubmed/24841796.
46. Noguchi, N., et al., Susceptibilities to Antiseptic Agents and 
Distribution of Antiseptic-Resistance Genes qacA/B and smr of 
Methicillin-Resistant Staphylococcus aureus isolated in Asia During 
1998 and 1999, Journal of Medical Microbiology, 54(1): p. 557-65, 
2005. Available at https://www.ncbi.nlm.nih.gov/pubmed/15888465.
47. Shamsudin, M.N., et al., High Prevalence of qacA/B Carriage 
Among Clinical Isolates of Meticillin-Resistant Staphylococcus 
aureus in Malaysia, Journal of Hospital Infection, 81(3): p. 206-8, 
2012. Available at https://www.ncbi.nlm.nih.gov/pubmed/?term=22633074.
48. Weber, D.J. and W.A. Rutala, Use of Germicides in the Home and 
the Healthcare Setting: Is There a Relationship between Germicide 
Use and Antibiotic Resistance?, Infection Control and Hospital 
Epidemiology, 27(10): p. 1107-19, 2006. Available at https://www.ncbi.nlm.nih.gov/pubmed/?term=17006819.
49. Rajamohan, G., et al., Biocide-Tolerant Multidrug-Resistant 
Acinetobacter baumannii Clinical Strains Are Associated with Higher 
Biofilm Formation, Journal of Hospital Infection, 73(3): p. 287-89, 
2009. Available at https://www.ncbi.nlm.nih.gov/pubmed/?term=19762119.
50. Akinkunmi, E.O. and A. Lamikanra, Susceptibility of Community 
Associated Methicillin Resistant Staphylococcus aureus Isolated From 
Faeces to Antiseptics, Journal of Infection in Developing Countries, 
6(4): p. 317-23, 2012. Available at https://www.ncbi.nlm.nih.gov/pubmed/?term=22505440.
51. Kawamura-Sato, K., et al., Reduction of Disinfectant 
Bactericidal Activities in Clinically Isolated Acinetobacter species 
in the Presence of Organic Material, Journal of Antimicrobial 
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52. Kawamura-Sato, K., et al., Correlation Between Reduced 
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53. Khor, S.Y. and M. Jegathesan, In-Use testing of Disinfectants in 
Malaysian Government Hospitals, Medical Journal of Malaysia, 32(1): 
p. 85-89, 1977. Available at https://www.ncbi.nlm.nih.gov/pubmed/?term=609352.
54. Rikimaru, T., et al., Bactericidal Activities of Commonly Used 
Antiseptics Against Multidrug-Resistant Mycobacterium tuberculosis, 
Dermatology, 204(Supp): p. 15-20, 2002. Available at https://www.ncbi.nlm.nih.gov/pubmed/?term=12011515.
55. Lanker Klossner, B., et al., Nondevelopment of Resistance by 
Bacteria During Hospital Use of Povidone-Iodine, Dermatology, 
195(Supp 2): p. 10-13, 1997. Available at https://www.ncbi.nlm.nih.gov/pubmed/?term=9403249.
56. Prince, H.N., et al., Drug Resistance Studies with Topical 
Antiseptics, Journal of Pharmaceutical Sciences, 67(11): p. 1629-31, 
1978. Available at https://www.ncbi.nlm.nih.gov/pubmed/712607.
57. Wiegand, C., et al., Analysis of the Adaptation Capacity of 
Staphylococcus aureus to Commonly Used Antiseptics by Microplate 
Laser Nephelometry, Skin Pharmacology and Physiology, 25(6): p. 288-
97, 2012. Available at https://www.ncbi.nlm.nih.gov/pubmed/?term=22890487.
58. Giacometti, A., et al., Antiseptic Compounds Still Active 
Against Bacterial Strains Isolated From Surgical Wound Infections 
Despite Increasing Antibiotic Resistance, European Journal of 
Clinical Microbiology and Infectious Diseases, 21(7): p. 553-56, 
2002. Available at https://www.ncbi.nlm.nih.gov/pubmed/?term=12172750.
59. Gocke, D.J., et al., In Vitro Studies of the Killing of Clinical 
Isolates by Povidone-

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Iodine Solutions, Journal of Hospital Infection, 6(Supp A): p. 59-
66, 1985. Available at http://www.ncbi.nlm.nih.gov/pubmed/2860177.
60. Yasuda, T., et al., Comparison of Bactericidal Activities of 
Various Disinfectants Against Methicillin-Sensitive Staphylococcus 
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61. Gordon, J. and A.R. Mclure, In-Vitro Comparison of Bactericidal 
Activity of Povidone-Iodine and Chlorhexidine Against Methicillin-
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5(4): p. 313-14, 1989. Available at http://www.embase.com/search/results?subaction=viewrecord&from=export&id=L19121090.
62. Barry, A.L., et al., Lack of Effect of Antibiotic Resistance on 
Susceptibility of Microorganisms to Chlorhexidine Gluconate or 
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63. Rikimaru, T., et al., Efficacy of Common Antiseptics Against 
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64. Sakuragi, T., et al., Bactericidal Activity of Skin 
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65. Sanchez, P., et al., The Biocide Triclosan Selects 
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66. Payne, D.N., et al., Antiseptics: A Forgotten Weapon in the 
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67. Oggioni, M.R., et al., Significant Differences Characterize the 
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68. Coelho, J.R., et al., The Use of Machine Learning Methodologies 
to Analyse Antibiotic and Biocide Susceptibility in Staphylococcus 
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69. Stickler, D.J., et al., Antiseptic and Antibiotic Resistance in 
Gram-Negative Bacteria Causing Urinary Tract Infection in Spinal 
Cord Injured Patients, Paraplegia, 19(1): p. 50-58, 1981. Available 
at https://www.ncbi.nlm.nih.gov/pubmed/7220061.
70. Buffet-Bataillon, S., et al., Effect of Higher Minimum 
Inhibitory Concentrations of Quaternary Ammonium Compounds in 
Clinical E. coli Isolates on Antibiotic Susceptibilities and 
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2011. Available at http://www.ncbi.nlm.nih.gov/pubmed/21807440.
71. Shi, G.S., et al., Prevalence of Antiseptic-Resistance Genes in 
Staphylococci Isolated from Orthokeratology Lens and Spectacle 
Wearers in Hong Kong, Investigative Ophthalmology and Visual 
Science, 56(5): p. 3069-74, 2015. Available at https://www.ncbi.nlm.nih.gov/pubmed/?term=25788652.
72. Lambert, R.J., Comparative Analysis of Antibiotic and 
Antimicrobial Biocide Susceptibility Data in Clinical Isolates of 
Methicillin-Sensitive Staphylococcus aureus, Methicillin-Resistant 
Staphylococcus aureus and Pseudomonas aeruginosa between 1989 and 
2000, Journal of Applied Microbiology, 97(4): p. 699-711, 2004. 
Available at https://www.ncbi.nlm.nih.gov/pubmed/?term=15357719.
73. Morrissey, I., et al., Evaluation of Epidemiological Cut-Off 
Values Indicates That Biocide Resistant Subpopulations Are Uncommon 
in Natural Isolates of Clinically-Relevant Microorganisms, PLoS One, 
9(1): p. 86669, 2014. Available at http://www.ncbi.nlm.nih.gov/pubmed/24466194.
74. Copitch, J.L., et al., Prevalence of Decreased Susceptibility to 
Triclosan in Salmonella enterica Isolates from Animals and Humans 
and Association with Multiple Drug Resistance, International Journal 
of Antimicrobial Agents, 36(3): p. 247-51, 2010. Available at 
https://www.ncbi.nlm.nih.gov/pubmed/?term=20541914.
75. Braoudaki, M. and A.C. Hilton, Adaptive Resistance to Biocides 
in Salmonella enterica and Escherichia coli O157 and Cross-
Resistance to Antimicrobial Agents, Journal of Clinical 
Microbiology, 42(1): p. 73-78, 2004. Available at https://www.ncbi.nlm.nih.gov/pubmed/?term=14715734.
76. Langsrud, S., et al., Cross-Resistance to Antibiotics of 
Escherichia coli Adapted to Benzalkonium Chloride or Exposed to 
Stress-Inducers, Journal of Applied Microbiology, 96(1): p. 201-08, 
2004. Available at https://www.ncbi.nlm.nih.gov/pubmed/?term=14678175.
77. Joynson, J.A., et al., Adaptive Resistance to Benzalkonium 
Chloride, Amikacin and Tobramycin: The Effect on Susceptibility to 
Other Antimicrobials, Journal of Applied Microbiology, 93(1): p. 96-
107, 2002. Available at https://www.ncbi.nlm.nih.gov/pubmed/?term=12067378.
78. FDA Regulatory Impact Analysis, Safety and Effectiveness for 
Health Care Antiseptics; Topical Antimicrobial Drug Products for 
Over-the-Counter Human Use. Available at http://www.fda.gov/AboutFDA/ReportsManualsForms/Reports/EconomicAnalyses/default.htm.

List of Subjects in 21 CFR Part 310

    Administrative practice and procedure, Drugs, Labeling, Medical 
devices, Reporting and recordkeeping requirements.

    Therefore, under the Federal Food, Drug, and Cosmetic Act and under 
authority delegated to the Commissioner of Food and Drugs, 21 CFR part 
310 is amended as follows:

PART 310--NEW DRUGS

0
1. The authority citation for part 310 continues to read as follows:

    Authority:  21 U.S.C. 321, 331, 351, 352, 353, 355, 360b-360f, 
360j, 360hh-360ss, 361(a), 371, 374, 375, 379e, 379k-l; 42 U.S.C. 
216, 241, 242(a), 262.

0
2. Amend Sec.  310.545 as follows:
0
a. Add reserved paragraphs (a)(27)(v), (vii), and (ix);
0
b. Add paragraphs (a)(27)(vi), (viii), and (x);
0
c. In paragraph (d) introductory text, remove ``(d)(41)'' and in its 
place add ``(42)''; and
0
d. Add paragraph (d)(42).
    The additions read as follows:


Sec.  310.545  Drug products containing certain active ingredients 
offered over-the-counter (OTC) for certain uses.

    (a) * * *
    (27) * * *
    (v) [Reserved]
    (vi) Health care personnel hand wash drug products. Approved as of 
December 20, 2018.

Cloflucarban
Fluorosalan
Hexachlorophene
Hexylresorcinol
Iodine complex (ammonium ether sulfate and polyoxyethylene sorbitan 
monolaurate)
Iodine complex (phosphate ester of alkylaryloxy polyethylene glycol)
Methylbenzethonium chloride
Nonylphenoxypoly (ethyleneoxy) ethanoliodine
Phenol
Poloxamer-iodine complex
Secondary amyltricresols
Sodium oxychlorosene
Tribromsalan
Triclocarban
Triclosan
Undecoylium chloride iodine complex

    (vii) [Reserved]
    (viii) Surgical hand scrub drug products. Approved as of December 
20, 2018.


[[Page 60503]]


Cloflucarban
Fluorosalan
Hexachlorophene
Hexylresorcinol
Iodine complex (ammonium ether sulfate and polyoxyethylene sorbitan 
monolaurate)
Iodine complex (phosphate ester of alkylaryloxy polyethylene glycol)
Methylbenzethonium chloride
Nonylphenoxypoly (ethyleneoxy) ethanoliodine
Phenol
Poloxamer-iodine complex
Secondary amyltricresols
Sodium oxychlorosene
Tribromsalan
Triclocarban
Triclosan
Undecoylium chloride iodine complex

    (ix) [Reserved]
    (x) Patient antiseptic skin preparation drug products. Approved as 
of December 20, 2018.

Cloflucarban
Fluorosalan
Hexachlorophene
Hexylresorcinol
Iodine complex (phosphate ester of alkylaryloxy polyethylene glycol)
Iodine tincture (USP)
Iodine topical solution (USP)
Mercufenol chloride
Methylbenzethonium chloride
Nonylphenoxypoly (ethyleneoxy) ethanoliodine
Phenol
Poloxamer-iodine complex
Secondary amyltricresols
Sodium oxychlorosene
Tribromsalan
Triclocarban
Triclosan
Triple dye
Undecoylium chloride iodine complex
Combination of calomel, oxyquinoline benzoate, triethanolamine, and 
phenol derivative
Combination of mercufenol chloride and secondary amyltricresols in 50 
percent alcohol
* * * * *
    (d) * * *
    (42) December 20, 2018, for products subject to paragraphs 
(a)(27)(vi) through (x) of this section.

    Dated: December 14, 2017.
Leslie Kux,
Associate Commissioner for Policy.
[FR Doc. 2017-27317 Filed 12-19-17; 8:45 am]
 BILLING CODE 4164-01-P



                                             60474        Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations

                                             DEPARTMENT OF HEALTH AND                                SUPPLEMENTARY INFORMATION:                            ingredients are benzalkonium chloride,
                                             HUMAN SERVICES                                                                                                benzethonium chloride, chloroxylenol,
                                                                                                     Table of Contents
                                                                                                                                                           alcohol (also referred to as ethanol or
                                             Food and Drug Administration                            I. Executive Summary                                  ethyl alcohol), isopropyl alcohol, and
                                                                                                        A. Purpose of the Final Rule                       povidone-iodine. Accordingly, FDA
                                             21 CFR Part 310                                            B. Summary of the Major Provisions of the          does not make a GRAS/GRAE
                                                                                                           Final Rule                                      determination in this final rule for these
                                             [Docket No. FDA–2015–N–0101]                               C. Costs and Benefits                              six active ingredients for use as OTC
                                                                                                     II. Table of Abbreviations and Acronyms               health care antiseptics. The monograph
                                             RIN 0910–AH40
                                                                                                           Commonly Used in This Document
                                                                                                     III. Introduction
                                                                                                                                                           or nonmonograph status of these six
                                             Safety and Effectiveness of Health                         A. Terminology Used in the OTC Drug                ingredients will be addressed, either
                                             Care Antiseptics; Topical Antimicrobial                       Review Regulations                              after completion and analysis of ongoing
                                             Drug Products for Over-the-Counter                         B. Topical Antiseptics                             studies to address the safety and
                                             Human Use                                                  C. This Final Rule Covers Only Health Care         effectiveness data gaps of these
                                                                                                           Antiseptics                                     ingredients or at a later date, if these
                                             AGENCY:    Food and Drug Administration,                IV. Background                                        studies are not completed.
                                             HHS.                                                       A. Significant Rulemakings Relevant to                This rulemaking finalizes the
                                             ACTION:   Final rule.                                         This Final Rule                                 nonmonograph status of the remaining
                                                                                                        B. Public Meetings Relevant to This Final
                                                                                                                                                           24 active ingredients intended for use in
                                             SUMMARY:   The Food and Drug                                  Rule
                                                                                                        C. Scope of This Final Rule                        health care antiseptics identified in the
                                             Administration (FDA, the Agency, or
                                                                                                        D. Eligibility for the OTC Drug Review             2015 Health Care Antiseptic PR. No
                                             we) is issuing this final rule establishing
                                                                                                     V. Comments on the Proposed Rule and FDA              additional data were submitted to
                                             that certain active ingredients used in
                                                                                                           Response                                        support monograph conditions for these
                                             nonprescription (also known as over-                       A. Introduction                                    24 health care antiseptic active
                                             the-counter or OTC) antiseptic products                    B. General Comments on the Proposed                ingredients. Therefore, this rule
                                             intended for use by health care                               Rule and FDA Response                           finalizes the 2015 Health Care
                                             professionals in a hospital setting or                     C. Comments on Eligibility of Active
                                                                                                                                                           Antiseptic PR and finds that 24 health
                                             other health care situations outside the                      Ingredients and FDA Response
                                                                                                        D. Comments on Effectiveness and FDA               care antiseptic active ingredients are not
                                             hospital are not generally recognized as
                                                                                                           Response                                        GRAS/GRAE for use as OTC health care
                                             safe and effective (GRAS/GRAE). FDA is
                                                                                                        E. Comments on Safety and FDA Response             antiseptics. Accordingly, OTC health
                                             issuing this final rule after considering
                                                                                                        F. Comments on the Preliminary                     care antiseptic drugs containing any of
                                             the recommendations of the                                    Regulatory Impact Analysis and FDA              these 24 active ingredients are new
                                             Nonprescription Drugs Advisory                                Response                                        drugs under section 201(p) of the
                                             Committee (NDAC); public comments                       VI. Ingredients Not Generally Recognized as           Federal Food, Drug, and Cosmetic Act
                                             on the Agency’s notices of proposed                           Safe and Effective
                                                                                                                                                           (FD&C Act) (21 U.S.C. 321(p)) for which
                                             rulemaking; and all data and                            VII. Compliance Date
                                                                                                     VIII. Summary of Regulatory Impact Analysis           approved applications under section
                                             information on OTC health care
                                                                                                        A. Introduction                                    505 of the FD&C Act (21 U.S.C. 355) and
                                             antiseptic products that have come to
                                                                                                        B. Summary of Costs and Benefits                   part 314 (21 CFR 314) of the regulations
                                             the Agency’s attention. This final rule
                                                                                                     IX. Paperwork Reduction Act of 1995                   are required for marketing and may be
                                             finalizes the 1994 tentative final                      X. Analysis of Environmental Impact                   misbranded under section 502 of the
                                             monograph (TFM) for OTC health care                     XI. Federalism                                        FD&C Act (21 U.S.C. 352).
                                             antiseptic drug products that published                 XII. References                                          This final rule covers only OTC health
                                             in the Federal Register of June 17, 1994
                                                                                                                                                           care antiseptics that are intended for use
                                             (the 1994 TFM) as amended by the                        I. Executive Summary                                  by health care professionals in a
                                             proposed rule published in the Federal
                                                                                                     A. Purpose of the Final Rule                          hospital setting or other health care
                                             Register (FR) of May 1, 2015 (2015
                                                                                                       This final rule finalizes the 2015                  situations outside the hospital. This
                                             Health Care Antiseptic Proposed Rule
                                                                                                     Health Care Antiseptic PR. This final                 final rule does not cover consumer
                                             (PR)).
                                                                                                     rule applies to health care antiseptic                antiseptic washes (78 FR 76444, 81 FR
                                             DATES:  This rule is effective December                                                                       61106); consumer antiseptic rubs (81 FR
                                                                                                     products that are intended for use by
                                             20, 2018.                                                                                                     42912); antiseptics identified as ‘‘first
                                                                                                     health care professionals in a hospital
                                             ADDRESSES: For access to the docket to                  setting or other health care situations               aid antiseptics’’ in the 1991 First Aid
                                             read background documents or the                        outside the hospital. Health care                     tentative final monograph (TFM) (56 FR
                                             electronic and written/paper comments                   antiseptic products include health care               33644); or antiseptics used by the food
                                             received, go to https://                                personnel hand washes, health care                    industry.
                                             www.regulations.gov and insert the                      personnel hand rubs, surgical hand                    B. Summary of the Major Provisions of
                                             docket number found in brackets in the                  scrubs, surgical hand rubs, and patient               the Final Rule
                                             heading of this final rule, into the                    antiseptic skin preparations (i.e., patient
                                             ‘‘Search’’ box and follow the prompts,                  preoperative and preinjection skin                    1. Safety
                                             and/or go to the Dockets Management                     preparations).                                           Several important scientific
                                             Staff, 5630 Fishers Lane, Rm. 1061,                       In response to several requests                     developments that affect the safety
                                             Rockville, MD 20852.                                    submitted to the 2015 Health Care                     evaluation of OTC health care antiseptic
                                                                                                     Antiseptic PR, FDA has deferred further               active ingredients have occurred since
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                                             FOR FURTHER INFORMATION CONTACT:
                                             Michelle M. Jackson, Center for Drug                    rulemaking on six active ingredients                  FDA’s 1994 safety evaluation. Improved
                                             Evaluation and Research, Food and                       used in OTC health care antiseptic                    analytical methods now exist that can
                                             Drug Administration, 10903 New                          products to allow for the development                 detect and more accurately measure
                                             Hampshire Ave., Bldg. 22, Rm. 5420,                     and submission to the record of new                   these active ingredients at lower levels
                                             Silver Spring, MD 20993–0002, 301–                      safety and effectiveness data for these               in the bloodstream and tissue.
                                             796–0923.                                               ingredients. The deferred active                      Consequently, new data suggest that the


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                                                          Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations                                         60475

                                             systemic exposure to these active                       clinical practice, as well as input from              1972. To our knowledge, there is only
                                             ingredients is higher than previously                   the 2005 NDAC, prompted us to                         one ineligible product currently on the
                                             thought, and new information about the                  reevaluate the data needed to determine               market, an alcohol-containing surgical
                                             potential risks from systemic absorption                whether health care antiseptic active                 hand scrub, which is affected by this
                                             and long-term exposure is now                           ingredients are generally recognized as               rule.
                                             available. New safety information also                  effective (GRAE). We continued to                        Benefits are quantified as the volume
                                             suggests that widespread antiseptic use                 propose the use of surrogate endpoints                reduction in exposure to triclosan found
                                             could have an impact on the                             (bacterial log reductions) as a                       in health care antiseptic products
                                             development of bacterial resistance. To                 demonstration of effectiveness for                    affected by the rule, but these benefits
                                             support a classification of generally                   health care antiseptics combined with                 are not monetized. Annual benefits are
                                             recognized as safe (GRAS) for health                    in vitro testing to characterize the                  estimated to be a reduction in exposure
                                             care antiseptic active ingredients, we                  antimicrobial activity of the active                  of 88,000 kilograms (kg) of triclosan per
                                             proposed that additional data were                      ingredient (80 FR 25166).                             year.
                                             needed to demonstrate that those                           We have considered the                                Costs are calculated as the one-time
                                             ingredients meet current safety                         recommendations from the public                       costs associated with reformulating
                                             standards (80 FR 25166 at 25179 to                      meetings held by the Agency on                        health care antiseptic products
                                             25195).                                                 antiseptics (see section IV.B, table 2)               containing the active ingredient
                                               The minimum data needed to                            and evaluated the available literature, as            triclosan and relabeling reformulated
                                             demonstrate safety for all health care                  well as the data, the comments, and                   products. We believe that the alcohol-
                                             antiseptic active ingredients fall into                 other information that were submitted                 containing surgical hand scrub that is
                                             four broad categories: (1) Human safety                 to the rulemaking on the effectiveness of             affected by this rule is likely to be
                                             studies described in current FDA                        the 24 non-deferred health care                       removed from the market. We categorize
                                             guidance (e.g., maximal usage trial or                  antiseptic active ingredients addressed               the associated loss of sales revenue as a
                                             ‘‘MUsT’’); (2) nonclinical safety studies               in this final rule. Since the publication             transfer from one manufacturer to
                                             described in current FDA guidance (e.g.,                of the 2015 Health Care Antiseptic PR,                another and not a cost, because we
                                             developmental and reproductive                          no new data or information was                        assume that the supply of other, highly
                                             toxicity studies and carcinogenicity                    submitted on the effectiveness of these               substitutable, products is highly elastic.
                                             studies); (3) data to characterize                      24 non-deferred health care antiseptic                   Annualizing the one-time costs over a
                                             potential hormonal effects; and (4) data                active ingredients. Consequently, there               10-year period, we estimate total
                                             to evaluate the development of                          is insufficient data to support a GRAE                annualized costs to range from $1.1 to
                                             antimicrobial resistance.                               determination for these ingredients.                  $4.1 million at a 3 percent discount rate,
                                               We have considered the                                                                                      and from $1.2 to $4.7 million at a 7
                                                                                                     C. Costs and Benefits                                 percent discount rate. The present value
                                             recommendations from the public
                                             meetings held by the Agency on                            This rule establishes that 24 eligible              of total costs ranges from $9.0 to $34.6
                                             antiseptics (see section IV.B, table 2)                 active ingredients are not generally                  million at a 3 percent discount rate, and
                                             and evaluated the available literature, as              recognized as safe and effective for use              from $8.7 to $29.6 million at a 7 percent
                                             well as the data, the comments, and                     in nonprescription (also referred to as               discount rate.
                                             other information that were submitted                   over-the-counter or OTC) health care                     In this final rule, small entities will
                                             to the rulemaking on the safety of the 24               antiseptics. However, data from the FDA               bear costs to the extent that they must
                                             non-deferred health care antiseptic                     drug product registration database                    reformulate and re-label any health care
                                             active ingredients addressed in this final              suggest that only one of these 24                     antiseptic containing triclosan that they
                                             rule. The available information and                     ingredients is found in OTC health care               produce. The average cost to small firms
                                             published data for these 24 active                      antiseptic products currently marketed                of implementing the requirements of
                                             ingredients considered in this final rule               pursuant to the TFM: Triclosan.                       this final rule is estimated to be
                                             are insufficient to establish the safety of             Regulatory action is being deferred on                $213,176 per firm. The costs of the
                                             these active ingredients for use in health              six active ingredients that were                      changes, along with the small number of
                                             care antiseptic products. No additional                 included in the health care antiseptic                firms affected, implies that this burden
                                             data were provided for these 24                         proposed rule: Benzalkonium chloride,                 would not be significant, so we certify
                                             ingredients. Consequently, the available                benzethonium chloride, chloroxylenol,                 that this final rule will not have a
                                             data do not support a GRAS                              ethyl alcohol, isopropyl alcohol, and                 significant economic impact on a
                                             determination for the OTC non-deferred                  povidone-iodine. This final rule also                 substantial number of small entities.
                                             health care antiseptic active ingredients               addresses comments on the eligibility of              This analysis, together with other
                                             addressed in this final rule.                           three active ingredients—alcohol (ethyl               relevant sections of this document,
                                                                                                     alcohol), benzethonium chloride, and                  serves as the Regulatory Flexibility
                                             2. Effectiveness                                        chlorhexidine gluconate—and finds that                Analysis, as required under the
                                               A determination that an active                        these three active ingredients are                    Regulatory Flexibility Act.
                                             ingredient is GRAS/GRAE for a                           ineligible for evaluation under the OTC                  The full discussion of economic
                                             particular intended use requires a                      Drug Review for certain health care                   impacts is available in docket FDA–
                                             benefit-to-risk assessment for the drug                 antiseptic uses because these active                  2015–N–0101 and at https://
                                             for that use. New information on                        ingredients were not included in health               www.fda.gov/AboutFDA/
                                             potential risks posed by the increased                  care antiseptic products marketed for                 ReportsManualsForms/Reports/
                                             use of certain health care antiseptics in               the specified indications prior to May                EconomicAnalyses/default.htm.
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                                             60476             Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations




                                                                                                                 EXECUTIVE ORDER 13771 SUMMARY TABLE
                                                                                                               [In $ millions 2016 dollars, over an infinite time horizon]

                                                                                                                                                                                               Primary                Lower bound                Upper bound
                                                                                                                                                                                                (7%)                     (7%)                       (7%)

                                             Present Value of Costs ................................................................................................................                   $17.19                       $8.68                    $29.47
                                             Present Value of Cost Savings ...................................................................................................            ........................   ........................   ........................
                                             Present Value of Net Costs .........................................................................................................                        17.19                        8.68                     29.47
                                             Annualized Costs .........................................................................................................................                    1.20                       0.61                       2.06
                                             Annualized Cost Savings .............................................................................................................        ........................   ........................   ........................
                                             Annualized Net Costs ..................................................................................................................                       1.20                       0.61                       2.06



                                             II. Table of Abbreviations and
                                             Acronyms Commonly Used in This
                                             Document

                                                         Abbreviation                                                                                               What it means

                                             ADME ...................................      Absorption, distribution, metabolism, and excretion.
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                                             ANPR ...................................      Advance notice of proposed rulemaking.
                                             APA ......................................    Administrative Procedure Act.
                                             ASTM ...................................      American Society for Testing and Materials International.
                                             ATCC ....................................     American Type Culture Collection.
                                             ATE ......................................    Average Treatment Effect.
                                             CDC ......................................    Centers for Disease Control and Prevention.
                                                                                                                                                                                                                                                                           ER20DE17.000</GPH>




                                             CFR ......................................    Code of Federal Regulations.



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                                                               Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations                                                60477

                                                         Abbreviation                                                                              What it means

                                             DART ....................................      Developmental and reproductive toxicity.
                                             FDA ......................................     Food and Drug Administration.
                                             FD&C Act .............................         Federal Food, Drug, and Cosmetic Act.
                                             FR .........................................   Federal Register.
                                             GRAE ...................................       Generally recognized as effective.
                                             GRAS ...................................       Generally recognized as safe.
                                             ICH .......................................    International Council for Harmonisation of Technical Requirements for Pharmaceuticals for Human Use.
                                             MBC .....................................      Minimum bactericidal concentration.
                                             MIC .......................................    Minimum inhibitory concentration.
                                             MusT ....................................      Maximal usage trial.
                                             NCE ......................................     New chemical entity.
                                             NDA ......................................     New drug application.
                                             NDAC ...................................       Nonprescription Drugs Advisory Committee.
                                             NHS ......................................     Nurses’ Health Study.
                                             NIH .......................................    National Institutes of Health.
                                             NOAEL .................................        No observed adverse effect level.
                                             OMB .....................................      Office of Management and Budget.
                                             OTC ......................................     Over-the-counter.
                                             PBPK ....................................      Physiologically-based pharmacokinetic.
                                             PK .........................................   Pharmacokinetic.
                                             PR ........................................    Proposed rule.
                                             TFM ......................................     Tentative final monograph.
                                             U.S.C. ...................................     United States Code.
                                             USP ......................................     United States Pharmacopeia.



                                             III. Introduction                                                 testing is required). Section 330.10                  by consumers for first aid use and
                                                In the following sections, we provide                          provides that any testing necessary to                referred to them collectively as ‘‘first aid
                                             a brief description of terminology used                           resolve the safety or effectiveness issues            antiseptics.’’ We published a separate
                                             in the OTC Drug Review regulations, an                            that resulted in an initial Category III              TFM covering first aid antiseptics in the
                                             overview of OTC topical antiseptic drug                           classification, and submission to FDA of              Federal Register of July 22, 1991 (56 FR
                                             products, and a more detailed                                     the results of that testing or any other              33644). We do not discuss first aid
                                             description of the OTC health care                                data, must be done during the OTC drug                antiseptics further in this document,
                                             antiseptic active ingredients that are the                        rulemaking process before the                         and this final rule does not have an
                                             subject of this final rule.                                       establishment of a final monograph (i.e.,             impact on the status of first aid
                                                                                                               a final rule or regulation). Therefore, the           antiseptics.
                                             A. Terminology Used in the OTC Drug                               proposed rules (at the tentative final                   The four remaining categories of
                                             Review Regulations                                                monograph stage) used the concepts of                 topical antimicrobials were addressed in
                                             1. Proposed, Tentative Final, and Final                           Categories I, II, and III.                            the 1994 TFM (59 FR 31402). The 1994
                                             Monographs                                                           At this final monograph stage, FDA                 TFM covered: (1) Antiseptic hand wash
                                                To conform to terminology used in                              does not use the terms ‘‘Category I,’’                (i.e., consumer hand wash); (2) health
                                             the OTC Drug Review regulations                                   ‘‘Category II,’’ and ‘‘Category III.’’                care personnel hand wash; (3) patient
                                             (§ 330.10 (21 CFR 330.10)), the advance                           Instead, the term ‘‘monograph                         preoperative skin preparation; and (4)
                                             notice of proposed rulemaking (ANPR)                              conditions’’ is used in place of Category             surgical hand scrub (59 FR 31402 at
                                             that was published in the Federal                                 I, and ‘‘nonmonograph conditions’’ is                 31442). In the 1994 TFM, FDA also
                                             Register of September 13, 1974 (39 FR                             used in place of Categories II and III.               identified a new category of antiseptics
                                             33103) (the 1974 ANPR), was designated                                                                                  for use by the food industry and
                                                                                                               B. Topical Antiseptics                                requested relevant data and information
                                             as a ‘‘proposed monograph.’’ Similarly,
                                             the notices of proposed rulemaking,                                 The OTC topical antimicrobial                       (59 FR 31402 at 31440). In section V.B.5,
                                             which were published in the Federal                               rulemaking has had a broad scope,                     we address comments filed in this
                                             Register of January 6, 1978 (43 FR 1210)                          encompassing drug products that may                   rulemaking on antiseptics for use by the
                                             (the 1978 TFM); the Federal Register of                           contain the same active ingredients, but              food industry, but we do not otherwise
                                             June 17, 1994 (59 FR 31402) (the 1994                             that are labeled and marketed for                     discuss these antiseptics in this
                                             TFM); and the Federal Register of May                             different intended uses. The 1974 ANPR                document. This final rule does not have
                                             1, 2015 (80 FR 25166) (the 2015 Health                            for topical antimicrobial products                    an impact on the status of antiseptics for
                                             Care Antiseptic PR), were each                                    encompassed products for both health                  food industry use.
                                             designated as a TFM (see table 1 in                               care and consumer use (39 FR 33103).                     The 1994 TFM did not distinguish
                                             section IV.A).                                                    The 1974 ANPR covered seven different                 between consumer antiseptic washes
                                                                                                               intended uses for these products: (1)                 and rubs and health care antiseptic
                                             2. Category I, II, and III Classifications                        Antimicrobial soap; (2) health care                   washes and rubs. In the 2013 Consumer
                                                The OTC drug regulations in § 330.10                           personnel hand wash; (3) patient                      Wash PR, we proposed that our
                                             use the terms ‘‘Category I’’ (generally                           preoperative skin preparation; (4) skin               evaluation of OTC antiseptic drug
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                                             recognized as safe and effective and not                          antiseptic; (5) skin wound cleanser; (6)              products be further subdivided into
                                             misbranded), ‘‘Category II’’ (not                                 skin wound protectant; and (7) surgical               health care antiseptics and consumer
                                             generally recognized as safe and                                  hand scrub (39 FR 33103 at 33140). FDA                antiseptics (78 FR 76444 at 76446).
                                             effective or misbranded), and ‘‘Category                          subsequently identified skin antiseptics,             These categories are distinct based on
                                             III’’ (available data are insufficient to                         skin wound cleansers, and skin wound                  the proposed use setting, target
                                             classify as safe and effective, and further                       protectants as antiseptics used primarily             population, and the fact that each


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                                             60478         Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations

                                             setting presents a different level of risk              (i.e., preinjection), may be used by                    hand rubs, surgical hand rubs, and
                                             for infection. In the 2013 Consumer                     patients outside the traditional health                 patient antiseptic skin preparations.
                                             Wash PR (78 FR 76444 at 76446 to                        care setting. Some patients (e.g.,                         Completion of the monograph for
                                             76447) and the 2016 Consumer Rub PR                     diabetics who manage their disease with                 health care antiseptic products and
                                             (81 FR 42912 at 42915 to 42916), we                     insulin injections) self-inject                         certain other monographs for the active
                                             proposed that our evaluation of OTC                     medications that have been prescribed                   ingredient triclosan is subject to a
                                             consumer antiseptic drug products be                    by a health care professional for use at                Consent Decree entered by the U.S.
                                             further subdivided into consumer                        home or at other locations and use                      District Court for the Southern District
                                             washes (products that are rinsed off                    patient preoperative skin preparations                  of New York on November 21, 2013, in
                                             with water, including hand washes and                   prior to injection.                                     Natural Resources Defense Council, Inc.
                                             body washes) and consumer rubs                             In this final rule, we use the term                  v. United States Food and Drug
                                             (products that are not rinsed off after                 ‘‘health care antiseptics’’ to include the              Administration, et al., 10 Civ. 5690
                                             use, including hand rubs and                            following products:                                     (S.D.N.Y.).
                                             antibacterial wipes). This final rule does              • Health care personnel hand washes
                                             not have an impact on the status of                     • Health care personnel hand rubs                       IV. Background
                                             consumer antiseptic wash or consumer                    • Surgical hand scrubs
                                                                                                     • Surgical hand rubs                                      In this section, we describe the
                                             antiseptic rub products.                                                                                        significant rulemakings and public
                                                                                                     • Patient antiseptic skin preparations
                                             C. This Final Rule Covers Only Health                      (i.e., patient preoperative and                      meetings relevant to this rulemaking
                                             Care Antiseptics                                           preinjection skin preparations) 1                    and discuss our response to comments
                                                                                                        This final rule covers health care                   received on the 2015 Health Care
                                               We refer to the group of products                     antiseptic products that are rubs and                   Antiseptic PR.
                                             covered by this final rule as ‘‘health care             others that are washes. The 1994 TFM                    A. Significant Rulemakings Relevant to
                                             antiseptics.’’ Health care antiseptics are              did not distinguish between products                    This Final Rule
                                             drug products that are generally                        that we are now calling health care
                                             intended for use by health care                         ‘‘antiseptic washes’’ and products we                      A summary of the significant Federal
                                             professionals in a hospital setting or                  are now calling health care ‘‘antiseptic                Register publications relevant to this
                                             other health care situations outside the                rubs.’’ Washes are rinsed off with water,               final rule is provided in table 1. Other
                                             hospital. Patient antiseptic skin                       and include health care personnel hand                  publications relevant to this final rule
                                             preparations, which are products that                   washes and surgical hand scrubs. Rubs                   are available at https://
                                             are used for preparation of the skin prior              are sometimes referred to as ‘‘leave-on                 www.regulations.gov in FDA Docket No.
                                             to surgery (i.e., preoperative) and                     products’’ and are not rinsed off after                 1975–N–0012 (formerly Docket No.
                                             preparation of skin prior to an injection               use. Rubs include health care personnel                 1975–N–0183H).

                                                    TABLE 1—SIGNIFICANT RULEMAKING PUBLICATIONS RELATED TO HEALTH CARE ANTISEPTIC DRUG PRODUCTS 1
                                                        Federal Register                                                                 Information in notice
                                                            notice

                                             1974 ANPR (September 13, 1974,              We published an ANPR to establish a monograph for OTC topical antimicrobial drug products, together
                                               39 FR 33103).                               with the recommendations of the advisory review panel (the Panel) responsible for evaluating data on
                                                                                           the active ingredients in this drug class.
                                             1978 Antimicrobial TFM (January 6,          We published our tentative conclusions and proposed effectiveness testing for the drug product categories
                                               1978, 43 FR 1210).                          evaluated by the Panel, reflecting our evaluation of the Panel’s recommendations and comments and
                                                                                           data submitted in response to the Panel’s recommendations.
                                             1991 First Aid TFM (July 22, 1991,          We amended the 1978 TFM to establish a separate monograph for OTC first aid antiseptic products. In the
                                               56 FR 33644).                               1991 TFM, we proposed that first aid antiseptic drug products be indicated for the prevention of skin in-
                                                                                           fections in minor cuts, scrapes, and burns.
                                             1994 Healthcare Antiseptic TFM              We amended the 1978 TFM to establish a separate monograph for the group of products referred to as
                                               (June 17, 1994, 59 FR 31402).               OTC topical health care antiseptic drug products. These antiseptics are generally intended for use by
                                                                                           health care professionals.
                                                                                         In the 1994 TFM, we also recognized the need for antibacterial personal cleansing products for consumers
                                                                                           to help prevent cross-contamination from one person to another and proposed a new antiseptic category
                                                                                           for consumer use: Antiseptic hand wash.
                                             2013 Consumer Antiseptic Wash               We issued a proposed rule to amend the 1994 TFM and to establish data standards for determining
                                               TFM (December 17, 2013, 78 FR               whether OTC consumer antiseptic washes are GRAS/GRAE.
                                               76444).                                   In the 2013 Consumer Antiseptic Wash TFM, we proposed that additional safety and effectiveness data
                                                                                           are necessary to support the safety and effectiveness of consumer antiseptic wash active ingredients.
                                             2015 Health Care Antiseptic TFM             We issued a proposed rule to amend the 1994 TFM and to establish data standards for determining
                                               (May 1, 2015, 80 FR 25166).                 whether OTC health care antiseptics are GRAS/GRAE.
                                                                                         In the 2015 Health Care Antiseptic TFM, we proposed that additional data are necessary to support the
                                                                                           safety and effectiveness of health care antiseptic active ingredients.
                                             2016 Consumer Antiseptic Rub                We issued a proposed rule to amend the 1994 TFM and to establish data standards for determining
                                               TFM (June 30, 2016, 81 FR                   whether OTC consumer antiseptic rubs are GRAS/GRAE.
                                               42912).                                   In the 2016 Consumer Antiseptic Rub TFM, we proposed that additional safety and effectiveness data are
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                                                                                           necessary to support the safety and effectiveness of consumer antiseptic rub active ingredients.



                                                1 Because the category of products referred to as    encompasses products that are used for preinjection     refer to such products as ‘‘patient antiseptic skin
                                             ‘‘patient preoperative skin preparations’’ in the       skin preparation in health care settings outside the    preparations.’’
                                             1994 TFM and the 2015 Health Care Antiseptic PR         hospital (so not preoperative), in this final rule we



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                                                          Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations                                             60479

                                                   TABLE 1—SIGNIFICANT RULEMAKING PUBLICATIONS RELATED TO HEALTH CARE ANTISEPTIC DRUG PRODUCTS 1—
                                                                                              Continued
                                                       Federal Register                                                                  Information in notice
                                                           notice

                                             2016 Consumer Antiseptic Wash              We issued a final rule finding that certain active ingredients used in OTC consumer antiseptic wash prod-
                                               Final Monograph (September 6,             ucts are not GRAS/GRAE.
                                               2016, 81 FR 61106).                      We deferred further rulemaking on three specific active ingredients (benzalkonium chloride, benzethonium
                                                                                         chloride, and chloroxylenol) used in OTC consumer antiseptic wash products to allow for the develop-
                                                                                         ment and submission of new safety and effectiveness data to the record for those ingredients.
                                                1 The publications listed in table 1 can be found at FDA’s ‘‘Status of OTC Rulemakings’’ website available at http://www.fda.gov/Drugs/Develop-
                                             mentApprovalProcess/DevelopmentResources/Over-the-CounterOTCDrugs/StatusofOTCRulemakings/ucm070821.htm. The publications dated
                                             after 1993 can also be found in the FEDERAL REGISTER at https://www.federalregister.gov.


                                             B. Public Meetings Relevant to This                       In addition to the Federal Register                 care antiseptic safety and effectiveness.
                                             Final Rule                                              publications listed in table 1, there have            These meetings are summarized in table
                                                                                                     been three meetings of the NDAC that                  2.
                                                                                                     are relevant to the discussion of health

                                                                              TABLE 2—PUBLIC MEETINGS RELEVANT TO HEALTH CARE ANTISEPTICS
                                                                      Date and type of meeting                                                              Topic of discussion

                                             January 1997, NDAC Meeting (Joint meeting with the Anti-Infective                    Antiseptic and antibiotic resistance in relation to an industry proposal
                                               Drugs Advisory Committee) (January 6, 1997, 62 FR 764).                              for consumer and health care antiseptic effectiveness testing (Health
                                                                                                                                    Care Continuum Model) (Refs. 1 and 2).
                                             March 2005, NDAC Meeting (February 18, 2005, 70 FR 8376) .............               The use of surrogate endpoints and study design issues for the in vivo
                                                                                                                                    testing of health care antiseptics (Ref. 3).
                                             September 2014, NDAC Meeting (July 29, 2014, 79 FR 44042) ............               Safety testing framework for health care antiseptic active ingredients
                                                                                                                                    (Ref. 4).



                                             C. Scope of This Final Rule                             ingredients are not included in the OTC               indication of the product (see
                                                                                                     topical antiseptic monograph at this                  § 330.14(a)). To determine eligibility for
                                                This rulemaking finalizes the
                                                                                                     time. Products containing these                       the OTC Drug Review, FDA typically
                                             nonmonograph status of the 24 listed
                                                                                                     ingredients are new drugs for which                   must have actual product labeling or a
                                             health care antiseptic active ingredients
                                                                                                     approved new drug applications (NDAs)                 facsimile of labeling that documents the
                                             (see section IV.D.1). Requests were
                                                                                                     or abbreviated new drug applications                  conditions of marketing of a product
                                             made that benzalkonium chloride,
                                                                                                     (ANDAs) are required prior to                         before May 1972 (see § 330.10(a)(2)).
                                             benzethonium chloride, chloroxylenol,
                                                                                                     marketing. Accordingly, FDA is                        FDA considers a drug that is ineligible
                                             alcohol, isopropyl alcohol, and
                                                                                                     amending part 310 (21 CFR part 310) to                for inclusion in the OTC monograph
                                             povidone-iodine be deferred from
                                                                                                     add the active ingredients covered by                 system to be a new drug that requires
                                             consideration in this health care
                                                                                                     this final rule to the list of active                 FDA approval of an NDA or ANDA.
                                             antiseptic final rule to allow more time
                                                                                                     ingredients in § 310.545 (21 CFR                      Ineligibility for use as a health care
                                             for interested parties to complete the
                                                                                                     310.545) that are not GRAS/GRAE for                   antiseptic does not affect eligibility
                                             studies necessary to fill the safety and
                                                                                                     use in the specified OTC drug products.               under any other OTC drug monograph.
                                             effectiveness data gaps identified in the
                                             2015 Health Care Antiseptic PR for                      D. Eligibility for the OTC Drug Review
                                                                                                                                                           1. Eligible Active Ingredients
                                             these ingredients. In January 2017, we
                                                                                                       An OTC drug is covered by the OTC
                                             agreed to defer rulemaking on these six                                                                          Table 3 lists the health care antiseptic
                                                                                                     Drug Review if its conditions of use
                                             ingredients (see Docket No. 2015–N–                                                                           active ingredients that have been
                                                                                                     existed in the OTC drug marketplace on
                                             0101 at https://www.regulations.gov).                                                                         considered under this rulemaking and
                                                                                                     or before May 11, 1972 (37 FR 9464)
                                               For the 24 active ingredients included                                                                      shows whether each ingredient is
                                                                                                     (Ref. 5).2 Conditions of use include,
                                             in this final rule, no additional data                                                                        eligible or ineligible for evaluation
                                                                                                     among other things, active ingredient,
                                             were submitted to the record to fill the                                                                      under the OTC Drug Review for use in
                                                                                                     dosage form and strength, route of
                                             safety and effectiveness data gaps                                                                            health care antiseptics for each of the
                                                                                                     administration, and specific OTC use or
                                             identified in the 2015 Health Care                        2 Also, note that drugs initially marketed in the
                                                                                                                                                           five specified uses: Patient antiseptic
                                             Antiseptic PR for these 24 active                       United States after the OTC Drug Review began in      skin preparation, health care personnel
                                             ingredients. Therefore, we find that                    1972 and drugs without any U.S. marketing
                                                                                                                                                           hand wash, health care personnel hand
                                             these 24 active ingredients are not                     experience can be considered in the OTC
                                                                                                     monograph system based on submission of a time        rub, surgical hand scrub, and surgical
                                             GRAS/GRAE for use in health care
                                                                                                     and extent application. (See § 330.14.)               hand rub.
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                                             antiseptic drug products and these




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                                             60480             Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations

                                                                  TABLE 3—ELIGIBILITY OF ANTISEPTIC ACTIVE INGREDIENTS FOR HEALTH CARE ANTISEPTIC USES 1
                                                                                                               Patient              Health care             Health care
                                                                                                              antiseptic                                                          Surgical        Surgical
                                                              Active ingredient                                                      personnel               personnel
                                                                                                                skin                                                             hand scrub       hand rub
                                                                                                                                    hand wash                hand rub
                                                                                                             preparation

                                             Alcohol 60 to 95 percent ........................                   2Y                     3N                       Y                      N             Y
                                             Benzalkonium chloride ...........................                   Y                       Y                       Y                      Y             N
                                             Benzethonium chloride ..........................                    Y                       Y                       N                      Y             N
                                             Chlorhexidine gluconate ........................                    N                       N                       N                      N             N
                                             Chloroxylenol .........................................             Y                       Y                       N                      Y             N
                                             Cloflucarban ...........................................            Y                       Y                       N                      Y             N
                                             Fluorosalan ............................................            Y                       Y                       N                      Y             N
                                             Hexylresorcinol .......................................             Y                       Y                       N                      Y             N
                                             Iodine complex (ammonium ether sul-
                                               fate and polyoxyethylene sorbitan
                                               monolaurate) ......................................               N                       Y                       N                      Y             N
                                             Iodine complex (phosphate ester of
                                               alkylaryloxy polyethylene glycol) ........                         Y                      Y                       N                      Y             N
                                             Iodine tincture United States Pharma-
                                               copeia (USP) ......................................                Y                      N                       N                      N             N
                                             Iodine topical solution USP ....................                     Y                      N                       N                      N             N
                                             Nonylphenoxypoly                     (ethyleneoxy)
                                               ethanoliodine ......................................               Y                      Y                       N                      Y             N
                                             Poloxamer-iodine complex .....................                       Y                      Y                       N                      Y             N
                                             Povidone-iodine 5 to 10 percent ............                         Y                      Y                       N                      Y             N
                                             Undecoylium chloride iodine complex ...                              Y                      Y                       N                      Y             N
                                             Isopropyl alcohol 70–91.3 percent .........                          Y                      N                       Y                      N             Y
                                             Mercufenol chloride ...............................                  Y                      N                       N                      N             N
                                             Methylbenzethonium chloride ................                         Y                      Y                       N                      Y             N
                                             Phenol (equal to or less than 1.5 per-
                                               cent) ...................................................          Y                      Y                       N                      Y             N
                                             Phenol (greater than 1.5 percent) .........                          Y                      Y                       N                      Y             N
                                             Secondary amyltricresols .......................                     Y                      Y                       N                      Y             N
                                             Sodium oxychlorosene ..........................                      Y                      Y                       N                      Y             N
                                             Triclocarban ...........................................             Y                      Y                       N                      Y             N
                                             Triclosan ................................................           Y                      Y                       N                      Y             N
                                             Combinations:
                                                  Calomel, oxyquinoline benzoate,
                                                    triethanolamine, and phenol de-
                                                    rivative .........................................            Y                      N                       N                      N             N
                                                  Mercufenol chloride and secondary
                                                    amyltricresols in 50 percent alco-
                                                    hol ...............................................           Y                      N                       N                      N             N
                                                  Triple dye ........................................             Y                      N                       N                      N             N
                                                1 Hexachlorophene      and tribromsalan are not included in this table because they are the subject of final regulatory action (see section IV.D.3).
                                                2Y   = Eligible for specified use.
                                                3N   = Ineligible for specified use.


                                             2. Ineligible Active Ingredients                                   Drug Review for use as a health care                     In addition, we received a comment
                                                In the 2015 Health Care Antiseptic PR                           personnel hand rub and surgical hand                  requesting that alcohol be deemed
                                             (and as outlined in table 3), we                                   rub. Consequently, drug products                      eligible for evaluation under the OTC
                                             identified certain active ingredients that                         containing benzethonium chloride for                  Drug Review for use as a surgical hand
                                             were considered ineligible for                                     use in health care personnel hand rubs                scrub. For the reasons explained in
                                             evaluation under the OTC Drug Review                               and surgical hand rubs will require                   section V.C.3, we find that alcohol
                                             as a health care antiseptic for specific                           approval under an NDA or ANDA prior                   continues to be ineligible for evaluation
                                             indications. We noted, however, that if                            to marketing.                                         under the OTC Drug Review for use as
                                             the requested documentation for                                      We also received comments arguing                   a surgical hand scrub. Consequently,
                                             eligibility was submitted, these active                            that chlorhexidine gluconate is eligible              drug products containing alcohol for use
                                             ingredients could be determined to be                              for evaluation under the OTC Drug                     in surgical hand scrubs will require
                                             eligible for evaluation (80 FR 25166 at                            Review for use as a health care                       approval under an NDA or ANDA prior
                                             25171).                                                            antiseptic. For the reasons explained in              to marketing.
                                                We received a comment requesting                                section V.C.2, we find that                              Moreover, for the remaining health
                                             that benzethonium chloride be deemed                               chlorhexidine gluconate continues to be               care antiseptic active ingredients that
                                                                                                                ineligible for evaluation under the OTC               we proposed were ineligible for
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                                             eligible for evaluation under the OTC
                                             Drug Review for use as a health care                               Drug Review for use as a health care                  evaluation under the OTC Drug Review,
                                             personnel hand rub and surgical hand                               antiseptic. Consequently, drug products               we have not received any new
                                             rub. For the reasons explained in                                  containing chlorhexidine gluconate for                information since the publication of the
                                             section V.C.1, we find that                                        use in health care antiseptics will                   2015 Health Care Antiseptic PR
                                             benzethonium chloride continues to be                              require approval under an NDA or                      demonstrating that these ineligible
                                             ineligible for evaluation under the OTC                            ANDA prior to marketing.                              active ingredients are eligible for


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                                                          Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations                                          60481

                                             evaluation under the OTC Drug Review                    help distinguish among the different                  these studies are not completed. We did
                                             for use as a health care antiseptic for the             comments. We have grouped similar                     not receive any deferral requests for the
                                             specified indications (see table 3).                    comments together under the same                      24 remaining health care antiseptic
                                             Consequently, we find that these active                 number, and in some cases, we have                    active ingredients, and so we decline to
                                             ingredients continue to be ineligible for               separated different issues discussed in               defer final action on the proposed rule
                                             evaluation under the OTC Drug Review                    the same comment and designated them                  for these ingredients.
                                             for use as a health care antiseptic for the             as distinct comments for purposes of                  2. Use in Health Care Settings Outside
                                             specified indications and drug products                 our responses. The number assigned to                 the Hospital
                                             containing these ineligible active                      each comment or comment topic is
                                             ingredients will require approval under                 purely for organizational purposes and                   (Comment 2) One comment requested
                                             an NDA or ANDA prior to marketing.                      does not signify the comment’s value,                 that FDA ‘‘better clarify and define the
                                                                                                     importance, or the order in which                     scope’’ of this rulemaking on the use of
                                             3. Ingredients Previously Proposed as                                                                         health care antiseptics in health care
                                                                                                     comments were received.
                                             Not Generally Recognized as Safe and                                                                          settings outside of the hospital ‘‘in order
                                             Effective                                               B. General Comments on the Proposed                   that the proper antiseptic products are
                                                FDA may determine that an active                     Rule and FDA Response                                 provided for patients in the spectrum of
                                             ingredient is not GRAS/GRAE for a                       1. Effective Date                                     health care settings while also being
                                             given OTC use (i.e., nonmonograph)                                                                            covered by health care insurers.’’ The
                                                                                                        (Comment 1) Several comments                       comment stated that patients and health
                                             because of lack of evidence of                          requested that FDA extend its timeline
                                             effectiveness, lack of evidence of safety,                                                                    care workers in these other settings
                                                                                                     under the 2015 Health Care Antiseptic                 deserve the same level of safety and
                                             or both. In the 1994 TFM (59 FR 31402                   PR to allow more time for the
                                             at 31435 to 31436) and the 2015 Health                                                                        efficacy standards as those in the
                                                                                                     submission of new data and                            hospital setting. The comment
                                             Care Antiseptic PR (80 FR 25166 at                      information. They asserted that the one
                                             25173 to 25174), FDA proposed that the                                                                        expressed concern that certain entities
                                                                                                     year compliance date was too short and                may determine that they need to supply
                                             active ingredients fluorosalan,                         that it could take several years to design,
                                             hexachlorophene, phenol (greater than                                                                         products intended for ‘‘consumer use,’’
                                                                                                     execute, analyze, and report on the                   which, the comment stated, may have
                                             1.5 percent), and tribromsalan be found                 necessary safety and effectiveness
                                             not GRAS/GRAE for the uses set forth in                                                                       different and lesser standards.
                                                                                                     studies.                                                 (Response 2) We agree that health care
                                             the 1994 TFM: Antiseptic hand wash,                        (Response 1) In the 2015 Health Care
                                             health care personnel hand wash,                                                                              antiseptic products are used in a variety
                                                                                                     Antiseptic PR, we provided a process                  of health care settings, not just
                                             patient antiseptic skin preparation, and                for seeking an extension of time to
                                             surgical hand scrub. FDA did not                                                                              hospitals. Over the past several decades,
                                                                                                     submit the required safety and                        there has been a significant shift in
                                             classify hexachlorophene or                             effectiveness data if such an extension
                                             tribromsalan in the 1978 TFM (43 FR                                                                           health care delivery from the acute,
                                                                                                     is necessary (80 FR 25166 at 25169). As               inpatient hospital setting to a variety of
                                             1210 at 1227) because it had already                    explained in the proposed rule, we
                                             taken final regulatory action against                                                                         outpatient and community-based
                                                                                                     stated that we would consider all the                 settings. There are many examples of
                                             hexachlorophene (21 CFR 250.250) and                    data and information submitted to the
                                             certain halogenated salicylamides,                                                                            health care settings outside the hospital
                                                                                                     record in conjunction with all timely                 that involve the use of antiseptic
                                             notably tribromsalan (21 CFR 310.502).                  and completed requests to extend the
                                             No substantive comments or new data                                                                           products. These settings include, but are
                                                                                                     timeline to finalize the monograph                    not limited to, the care of patients in
                                             were submitted to the record of the 1994                status for a given ingredient. We
                                             TFM or the 2015 Health Care Antiseptic                                                                        outpatient medical and surgical
                                                                                                     received requests to defer six health care            facilities, dental clinics, skilled nursing
                                             PR to support reclassification of any of                antiseptic active ingredients from this
                                             these ingredients as GRAS/GRAE.                                                                               facilities or nursing homes, adult
                                                                                                     rulemaking. Consideration for deferral                medical day care centers, public health
                                             Therefore, FDA has determined that                      for an ingredient was given to requests
                                             these active ingredients are not GRAS/                                                                        clinics, imaging centers, oncology
                                                                                                     with clear statements of intent to                    clinics, infusion centers, dialysis
                                             GRAE for use in OTC health care                         conduct the necessary studies required
                                             antiseptic products as defined in this                                                                        centers, behavioral health clinics,
                                                                                                     to fill all the data gaps identified in the           physical therapy and rehabilitation
                                             final rule, and drug products containing                proposed rule for that ingredient. After
                                             these ineligible active ingredients will                                                                      centers, and in private homes. The term
                                                                                                     analyzing the data and information                    ‘‘health care’’ as used in this rulemaking
                                             require approval under an NDA or                        submitted related to the requests for
                                             ANDA prior to marketing.                                                                                      includes all these settings.
                                                                                                     extensions, we determined that a                         We note, however, that this rule does
                                             V. Comments on the Proposed Rule and                    deferral is warranted for the six health              not address the use of a specific health
                                             FDA Response                                            care antiseptic active ingredients—                   care antiseptic drug product in a
                                                                                                     benzalkonium chloride, benzethonium                   particular health care situation. In
                                             A. Introduction                                         chloride, chloroxylenol, alcohol,                     addition, the coverage of antiseptic drug
                                               In response to the 2015 Health Care                   isopropyl alcohol, and povidone-                      products by health care insurers is
                                             Antiseptic PR, we received                              iodine—to allow more time for                         outside FDA’s purview.
                                             approximately 29 comments from drug                     interested parties to complete the
                                             manufacturers, trade associations,                      studies necessary to fill the safety and              3. GRAS/GRAE Classification of Certain
                                             academia, testing laboratories, health                  effectiveness data gaps identified for                Ingredients
                                                                                                     these ingredients in the 2015 Health                     (Comment 3) Several comments
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                                             professionals, and individuals. We also
                                             received additional data and                            Care Antiseptic PR. The monograph                     requested that FDA reconsider its
                                             information for certain deferred health                 status of these six ingredients will be               proposal in the 2015 Health Care
                                             care antiseptic active ingredients.                     addressed either after completion and                 Antiseptic PR to classify alcohol,
                                               We describe and respond to the                        analysis of ongoing studies to address                isopropyl alcohol, and povidone-iodine
                                             comments in section V.B through V.F.                    the safety and effectiveness data gaps of             as Category III active ingredients. In the
                                             We have numbered each comment to                        these ingredients or at a later date if               1994 TFM, alcohol, isopropyl alcohol,


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                                             60482        Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations

                                             and povidone-iodine were proposed to                    enough data on these three ingredients                alcohol, isopropyl alcohol, and
                                             be classified as Category I topical                     to meet our proposed safety and                       povidone-iodine from Category I to
                                             antiseptic ingredients for certain                      effectiveness data requirements. We                   Category III, indicating that this change
                                             indications. The comments contended                     explained that we were proposing                      in the proposed classification could lead
                                             that FDA’s proposal to change these                     changes to the safety and effectiveness               health care personnel to stop using
                                             ingredients’ proposed classification                    data requirements identified in the 1994              products with these active ingredients.
                                             from Category I to Category III is not                  TFM in light of comments we received,                 At the same meeting, FDA emphasized
                                             based on a safety or effectiveness                      input from subsequent public meetings,                both that health care antiseptics are a
                                             concern or issue. One comment noted                     and our independent evaluation of other               critically important part of the infection
                                             that during the September 3, 2014,                      relevant scientific information (80 FR                control paradigm in place in every
                                             NDAC meeting, several NDAC members                      25166 at 25166).                                      hospital across the country and that our
                                             expressed concerns about changing the                      Among other things, our proposed                   goal is not to remove such products
                                             proposed classification of alcohol,                     revisions to the data requirements                    from the market (Ref. 4). That remains
                                             isopropyl alcohol, and povidone-iodine                  identified in the 1994 TFM were based                 our goal, and we note that these
                                             from Category I to Category III,                        on several important scientific                       ingredients have each been deferred, so
                                             indicating that the change in the                       developments that affected the safety                 they are not addressed in this final rule.
                                             proposed classification could lead                      evaluation of health care antiseptic
                                                                                                     active ingredients, including improved                4. Patient Preoperative Skin Preparation
                                             health care personnel to stop using
                                             products with these active ingredients.                 analytical methods that can detect and                   (Comment 4) One comment asked
                                             The comment also pointed out that, in                   more accurately measure these                         FDA to clarify the term ‘‘patient
                                             the 2015 Health Care Antiseptic PR and                  ingredients at lower levels in the                    preoperative skin preparation,’’ noting
                                             in related public announcements, FDA                    bloodstream and tissue (80 FR 25166 at                that, in the 2015 Health Care Antiseptic
                                             emphasized that we did not believe that                 25166 to 25167). As a result of these                 PR, the term ‘‘patient preoperative skin
                                             health care antiseptic products                         improved methods, we have learned                     preparation’’ includes skin preparation
                                             containing these ingredients were                       that some systemic exposures can be                   prior to an injection (preinjection) and
                                             ineffective or unsafe, or that their use                detected, where previously they were                  that this may cause confusion because it
                                             should be discontinued. In fact, that                   undetected, and that some systemic                    could be misinterpreted to mean that all
                                             comment noted that FDA recommended                      exposures are higher than previously                  products listed can be used for either
                                             that health care personnel continue to                  thought. We also have new information                 patient preoperative skin preparation or
                                             use these antiseptic products consistent                about the potential risks from systemic               preinjection.
                                             with infection control guidelines while                 absorption and long-term exposure (80                    Several comments also asserted that
                                             additional data about the products were                 FR 25166 at 25167). In addition, the                  the effectiveness testing for preinjection
                                             gathered.                                               standard battery of tests that were used              should have different clinically relevant
                                                (Response 3) As we explained in the                  to determine the safety of drugs had                  time points because preinjection use
                                             2015 Heath Care Antiseptic PR, the OTC                  changed over time to incorporate                      serves a different purpose and has a
                                             drug procedural regulations in § 330.10                 improvements in safety testing. As we                 different use pattern than patient
                                             use the terms ‘‘Category I’’ (generally                 explained in the 2015 Health Care                     preoperative skin preparations. They
                                             recognized as safe and effective and not                Antiseptic PR, it is critical that the                argued that surgical incision demands
                                             misbranded), ‘‘Category II’’ (not                       safety and effectiveness of these                     persistent activity due to the invasive
                                             generally recognized as safe and                        ingredients be supported by data that                 nature of cutting through the skin’s
                                             effective or misbranded), and ‘‘Category                meet the most current standards,                      natural barrier over a larger area, the
                                             III’’ (available data are insufficient to               considering the prevalent use of health               procedure duration (which can be
                                             classify as safe and effective, and further             care antiseptic products (80 FR 25166 at              hours), and the time the incision point
                                             testing is required) (80 FR 25166 at                    25167).                                               will be open and will subsequently need
                                             25168). We classify ingredients as                         Our decision to propose revising the               to heal. As such, the comments argued,
                                             Category I, II, or III until the final                  safety and effectiveness data                         persistence may be an important
                                             monograph stage, at which point we use                  requirements identified in the 1994                   attribute of patient preoperative skin
                                             the term ‘‘monograph conditions’’ in                    TFM was also based in part on meetings                preparations. They explained that in
                                             place of Category I, and the term                       of the NDAC that were held in March                   contrast, an injection is a procedure
                                             ‘‘nonmonograph conditions’’ in place of                 2005 and September 2014. As we noted                  lasting only seconds and poses a
                                             Categories II and III. In the 1994 TFM,                 in the preamble to the 2015 Health Care               relatively low risk of infection. They
                                             alcohol and povidone-iodine were both                   Antiseptic PR, input from participants                also explained that the injection site
                                             proposed to be classified as Category I                 at the March 2005 NDAC meeting                        heals quickly, so there is no need for
                                             topical antiseptic ingredients for use in               prompted us to reevaluate the data                    persistent antimicrobial activity. They
                                             surgical hand scrubs, patient antiseptic                needed for classifying health care                    stated that if patient preinjection skin
                                             skin preparations, and antiseptic hand                  antiseptic active ingredients as GRAE                 preparation products are required to
                                             washes or health care personnel hand                    (80 FR 25166 at 25166). Moreover, at the              meet the same effectiveness
                                             wash products (59 FR 31402 at 31420                     meeting held in September 2014, the                   requirements as patient preoperative
                                             and 31433). Isopropyl alcohol was                       NDAC discussed FDA’s proposed                         skin preparation products, this would
                                             proposed to be classified as Category I                 revisions to the safety data requirements             effectively clear the market of available
                                             for patient antiseptic skin preparation                 and unanimously voted that the revised                cost effective solutions for those who
                                             ‘‘for the preparation of the skin prior to              safety data requirements were                         need these products. Therefore, the
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                                             an injection’’ (59 FR 31402 at 31433).                  appropriate to demonstrate that a health              comments asserted that the effectiveness
                                                In the 2015 Health Care Antiseptic                   care antiseptic active ingredient is                  requirements for patient preoperative
                                             PR, we changed the proposed                             GRAS.                                                 skin preparation should be different
                                             classification of alcohol, isopropyl                       As one comment noted, at the                       from the effectiveness requirements for
                                             alcohol, and povidone-iodine from                       September 2014 meeting, several NDAC                  patient preinjection skin preparations.
                                             Category I to III for these indications,                members expressed concerns about                         (Response 4) We agree that the
                                             because we found that there was not                     changing the proposed classification of               circumstances under which health care


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                                                          Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations                                           60483

                                             antiseptics can be used for preinjection                bacterial reductions achieved using tests             C. Comments on Eligibility of Active
                                             should be clarified because patient                     that simulate conditions of actual use                Ingredients and FDA Response
                                             preoperative skin preparations and                      for each OTC health care antiseptic                   1. Benzethonium Chloride
                                             preinjection skin preparations can serve                product reflect the bacterial reductions
                                             different purposes and have different                   that would be achieved under                             (Comment 6) In response to the 2015
                                             uses. Accordingly, we clarify that                      conditions of such use. Thus, the                     Health Care Antiseptic PR, we received
                                             patient preoperative skin preparation                   effectiveness requirements for                        a comment asserting that benzethonium
                                             and patient preinjection skin                           determining whether an active                         chloride is eligible for review under the
                                             preparation may involve separate uses                   ingredient is GRAE for use in patient                 monograph for use in health care
                                             within the category of patient antiseptic               preinjection skin preparations should be              personnel hand rubs and surgical hand
                                             skin preparations. As noted in the                      consistent with the actual use of that                rubs and that benzethonium chloride be
                                             comments, surgical incisions require                    product. We agree that patient antiseptic             categorized as a Category I ingredient for
                                             persistent activity from patient                        skin preparations used for preinjection               both indications. Information submitted
                                             preoperative skin preparations due to                   involve a process lasting a much shorter              in the comment showed that
                                             the invasive nature of cutting through                                                                        methylbenzethonium chloride was
                                                                                                     period of time, sometime seconds,
                                             the skin’s natural barrier over a larger                                                                      present in Bactine, a topical antiseptic
                                                                                                     compared to surgery, which can last
                                             area, the procedure duration (which can                                                                       for first aid and wound care before May
                                                                                                     several hours, and that such
                                             be hours), and the time the incision                                                                          1972. The comment also asserted that:
                                                                                                     preinjection use has a lower risk of                     • Methylbenzethonium chloride was
                                             point will be open and will                             infection. For these reasons, we also
                                             subsequently need to heal. As such,                                                                           the active ingredient in the antiseptic,
                                                                                                     agree that the effectiveness requirements             Bactine.
                                             persistence is an important attribute of                for preinjection should be different than                • Bactine with methylbenzethonium
                                             patient preoperative skin preparations.                 the effectiveness requirements for                    chloride was in use before 1972 as a
                                             In comparison, injection refers to a brief              patient preoperative skin preparations.               leave-on antiseptic (not rinsed off).
                                             interruption of skin integrity by a sterile             We discuss these effectiveness                           • Methylbenzethonium chloride and
                                             needle that is typically removed within                 requirements in more detail in section                benzethonium chloride are equivalent.
                                             seconds or a few minutes. Due to the                    V.D.2.                                                   • The conditions of use for
                                             brevity of the procedure, the risk of                                                                         benzethonium chloride in the 2015
                                             bacterial infection from an injection is                   We also note that, although we do not
                                                                                                     address labeling in this final rule                   Health Care Antiseptic PR are the same
                                             low, and so persistent antimicrobial                                                                          as for Bactine.
                                             activity is not essential for a                         because at this time we have not found
                                                                                                     any active ingredients to be GRAS/                       (Response 6) In the 2015 Health Care
                                             preinjection skin preparation product.                                                                        Antiseptic PR (80 FR 25166 at 25171),
                                               Examples of procedures that are                       GRAE for use in patient antiseptic skin
                                                                                                     preparations, we anticipate that labeling             we explained that an OTC drug is
                                             covered by a preinjection claim include                                                                       covered by the OTC Drug Review if its
                                             the following:                                          for these products will include
                                                                                                     directions for use that will help                     conditions of use existed in the OTC
                                             • Intramuscular injection for                                                                                 drug marketplace on or before May 11,
                                                                                                     providers determine the proper use of
                                               vaccination                                                                                                 1972. Conditions of use include active
                                                                                                     preoperative and preinjection antiseptic
                                             • Intramuscular injection for delivery of                                                                     ingredient, dosage form and dosage
                                                                                                     products.
                                               medication, such as an antibiotic or                                                                        strength, route of administration, and
                                               an anesthetic (for trigger point                      5. Food Handler Antiseptics                           the specific OTC use or indication of the
                                               injection)                                                                                                  product. If the eligibility of a product for
                                             • Intradermal injection for tuberculin                     (Comment 5) Several comments                       OTC Drug Review is in question, FDA
                                               testing                                               requested that FDA formally recognize                 must have actual product labeling or a
                                             • Subcutaneous injection of insulin                     antiseptic hand washes and rubs used in               facsimile of labeling that documents the
                                             • Subcutaneous placement of needles                     the food industry as a distinct food                  conditions of marketing the product
                                               for acupuncture                                       handler category subject to its own                   before May 1972 (see § 330.10(a)(2)). If
                                             • Venipuncture for blood drawing for                    monograph. The comments also                          benzethonium chloride was the active
                                               laboratory testing                                    requested that FDA confirm that food                  ingredient in a drug before May 1972 for
                                             • Intradermal injection for allergy skin                handler antiseptics can continue to be                use as a health care personnel hand rub
                                               testing                                               marketed until FDA issues a food                      and/or surgical hand rub, then it would
                                               Examples of procedures that are not                   handler monograph.                                    be eligible for the OTC Drug Review for
                                             covered by the preinjection claim                          (Response 5) As stated in the 2016                 those indications.
                                             include the following:                                  Consumer Wash Final Rule (81 FR                          We disagree with the comment’s
                                             • Venous catheterization for blood                      61106 at 61109) and the 2015 Health                   statement asserting that
                                               donation                                              Care Antiseptic PR (80 FR 25166 at                    methylbenzethonium chloride (the
                                             • Venous catheterization for an                         25168), we continue to classify the food              active ingredient in Bactine) is
                                               extended delivery of medication, such                 handler antiseptic washes as a separate               essentially equivalent to benzethonium
                                               as slow infusion of an antibiotic                     and distinct monograph category. As                   chloride based on their similar structure
                                             • Venous catheterization for delivery of                explained in those rulemakings, food                  and chemical function (both are
                                               intravenous fluid                                     handler antiseptic products are not part              quaternary ammonium chloride
                                             • Placement of a central venous catheter                of these rulemakings on the health care               antiseptic ingredients). Although these
                                               for any purpose                                       and consumer antiseptic monographs.                   two ingredients are chemically similar
                                             • Placement of a heparin lock                           We continue to believe a separate                     such that they could be grouped as
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                                             • Placement of an arterial catheter                     category is warranted because of                      quaternary ammonium compounds,
                                             • Surgical procedure                                    additional issues raised by the public                they are not equivalent molecules.
                                               As stated in the 2015 Health Care                     health consequences of foodborne                      Furthermore, although not suggested by
                                             Antiseptic PR (80 FR 25166 at 25176),                   illness, differences in frequency and                 the comment, there is no evidence that
                                             the effectiveness criteria for health care              type of use, and contamination of the                 methylbenzethonium is a prodrug for
                                             antiseptics are based on the premise that               hands by grease and other oils.                       benzethonium chloride, or requires


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                                             60484        Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations

                                             conversion or metabolism to                             2. Chlorhexidine Gluconate                            is superior to povidone-iodine as a
                                             benzethonium chloride for antiseptic                                                                          patient preoperative skin preparation.
                                             activity when applied to the skin.                         (Comment 7) FDA received two                          (Response 8) Because we find that
                                                                                                     comments asserting that chlorhexidine                 chlorhexidine gluconate is ineligible for
                                                Moreover, although the comment
                                                                                                     gluconate should be eligible for                      consideration under the health care
                                             provided data to demonstrate that
                                                                                                     inclusion in the OTC health care                      antiseptic monograph and these
                                             methylbenzethonium chloride was used
                                                                                                     antiseptic monograph. The comments                    comments do not have an impact on this
                                             in Bactine before May 1972, the
                                                                                                     also stated that more data are needed to              finding, we do not address these
                                             submitted label for Bactine contained
                                                                                                     find chlorhexidine gluconate GRAS/                    comments in this final rule.
                                             indications that are not equivalent to the
                                                                                                     GRAE for use as an OTC health care
                                             indications for health care personnel                                                                         3. Alcohol
                                                                                                     antiseptic.
                                             hand rubs or surgical hand rubs. The
                                             indications and directions on the                          (Response 7) Chlorhexidine gluconate                  (Comment 9) In response to the 2015
                                             Bactine label (i.e., minor cuts, scratches,             was not included in the 1994 TFM                      Health Care Antiseptic PR, a comment
                                                                                                     because we had previously found                       was submitted that argued that alcohol
                                             and abrasions; minor burns, sunburn;
                                                                                                     chlorhexidine gluconate to be ineligible              should be deemed eligible for
                                             itching skin irritations; shaving
                                                                                                     for inclusion in the monograph for any                evaluation under the OTC Drug Review
                                             antiseptic; sickroom, nursery (hands,
                                                                                                     health care antiseptic use (80 FR 25166               for use as a surgical hand scrub. The
                                             thermometers, surgical instruments,
                                                                                                     at 25172, citing 59 FR 31402 at 31413).               comment asserted that FDA first made
                                             sickroom articles); athlete’s foot—sore
                                                                                                     In the 2015 Health Care Antiseptic PR,                its distinction between ‘‘rubs’’ and
                                             tired feet) do not support the use of
                                                                                                     we explained that we had not received                 ‘‘scrubs’’ in the 2015 Health Care
                                             benzethonium chloride as an active
                                                                                                     any new information since the 1994                    Antiseptic PR, in which FDA proposed
                                             ingredient used in a health care
                                                                                                     TFM that supported the eligibility of                 that alcohol was ineligible for inclusion
                                             antiseptic hand rub by a health care
                                                                                                     chlorhexidine gluconate for inclusion in              in the health care antiseptic monograph
                                             professional in the care of patients or by                                                                    as a surgical hand scrub. The comment
                                             a surgeon before surgery. The Directions                the monograph. Consequently, we
                                                                                                     proposed not to change the                            stated that FDA based this conclusion
                                             for Use (indications) from the Bactine                                                                        on the fact that information for rinse-off
                                             bottle do not support the eligibility of                categorization of chlorhexidine
                                                                                                     gluconate based on the lack of                        products was not submitted to the OTC
                                             methylbenzethonium chloride as an                                                                             Drug Review. But, the comment
                                             OTC health care antiseptic hand rub or                  documentation demonstrating its
                                                                                                     eligibility under the OTC Drug Review                 claimed, manufacturers had no reason
                                             surgical hand rub. Lastly, although the                                                                       to submit such information because
                                             use of methylbenzethonium chloride to                   for use as a health care antiseptic (80 FR
                                                                                                     25166 at 25172).                                      FDA had found alcohol to be GRAS/
                                             disinfect the hands is suggested by the                                                                       GRAE for use in surgical hand scrub
                                             word ‘‘hands’’ in the directions for                       The comments on chlorhexidine                      products in the 1994 TFM, and
                                             ‘‘sickroom, nursery (hands,                             gluconate submitted in response to the                manufacturers had no notice that FDA
                                             thermometers, surgical instruments,                     2015 Health Care Antiseptic PR did not                was expecting such submissions. The
                                             sickroom articles) use full strength                    include any data or any new                           comment argued that the Agency’s
                                             Bactine,’’ this reference to hands is                   information to support chlorhexidine                  exclusion of alcohol from the 2015
                                             imprecise and no specific Directions for                gluconate’s eligibility for inclusion in              Health Care Antiseptic PR for use as a
                                             Use are provided.                                       the health care antiseptic monograph.                 surgical hand scrub was arbitrary and
                                                We also performed a literature search                Specifically, no evidence was submitted               capricious and in violation of the
                                             to investigate whether benzethonium                     for chlorhexidine gluconate to                        Administrative Procedure Act (APA), 5
                                             chloride was used as an active                          demonstrate that chlorhexidine                        U.S.C.A. sections 501 et seq.
                                             ingredient in an OTC health care                        gluconate was an active ingredient in                    (Response 9) In the 2015 Health Care
                                             antiseptic leave-on product for the                     OTC health care antiseptics in the                    Antiseptic PR, we explained that the
                                             indication of a health care personnel                   United States before May 1972.                        1994 TFM did not distinguish between
                                             hand rub or surgical hand rub before                    Consequently, we find that                            products that we are now calling
                                             May 1972. Our search did not find                       chlorhexidine gluconate continues to be               ‘‘antiseptic washes’’ and products we
                                             evidence for the use of benzethonium                    ineligible for evaluation under the OTC               are now calling ‘‘antiseptic rubs.’’
                                             chloride as a health care personnel hand                Drug Review for use as a health care                  However, based on comments submitted
                                             rub or surgical hand rub.                               antiseptic. Drug products containing                  in response to the 1994 TFM, we
                                                In sum, we find that the data                        chlorhexidine gluconate for use in                    tentatively determined that there should
                                             submitted in support of the eligibility of              health care antiseptics will require                  be a distinction between antiseptic
                                             benzethonium chloride as a monograph                    approval under an NDA or ANDA prior                   washes and antiseptic rubs, as well as
                                             active ingredient for use as a health care              to marketing. Because chlorhexidine                   a distinction between consumer
                                             personnel hand rub and/or a surgical                    gluconate continues to be ineligible for              antiseptic and health care antiseptic
                                             hand rub do not demonstrate that                        consideration under the health care                   products. As evidenced by the
                                             benzethonium chloride is eligible for                   antiseptic monograph, it is unnecessary               comments received in response to the
                                             use for these health care antiseptic                    to address the comments’ statement that               1994 TFM, formulation practices and
                                             indications. For these reasons, we find                 more safety and effectiveness data are                marketing intent of these products has
                                             that benzethonium chloride continues                    needed to find chlorhexidine gluconate                changed over time and products may
                                             to be ineligible for evaluation under the               GRAS/GRAE for OTC health care                         not be eligible for conditions under
                                             OTC Drug Review for use as a health                     antiseptic use.                                       which they are currently marketed. We
                                             care personnel hand rub and surgical                       (Comment 8) In response to the 2015                explained that washes are rinsed off
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                                             hand rub. Consequently, drug products                   Health Care Antiseptic PR, we also                    with water, and include health care
                                             containing benzethonium chloride for                    received a comment expressing                         personnel hand washes and surgical
                                             use in health care personnel hand rubs                  concerns regarding the bacterial                      hand scrubs, while rubs are sometimes
                                             and surgical hand rubs will require                     resistance of chlorhexidine gluconate. In             referred to as ‘‘leave-on products’’ and
                                             approval under an NDA or ANDA prior                     addition, we received a comment that                  are not rinsed off after use, and include
                                             to marketing.                                           suggested that chlorhexidine gluconate                health care personnel hand rubs,


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                                                          Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations                                          60485

                                             surgical hand rubs, and patient                         parties may have the option to submit                 no clinical trials presented that showed
                                             preoperative skin preparations (80 FR                   a time and extent application under                   a definitive clinical benefit for a health
                                             25166 at 25169). As a result of these                   § 330.14 (21 CFR 330.14) of FDA’s                     care antiseptic. However, recently, using
                                             distinctions, we proposed that alcohol                  regulations to request that the Agency                an active comparator, Tuuli et al.
                                             was ineligible for use as a health care                 amend the health care antiseptic                      demonstrated fewer infections following
                                             personnel hand wash and surgical hand                   monograph to include these active                     caesarean section with use of an
                                             scrub because the only health care                      ingredients for use in health care                    approved patient preoperative health
                                             antiseptic products that contained                      antiseptics for the specified indications.            care antiseptic (Ref. 6). Otherwise, we
                                             alcohol for which evidence was                                                                                have seen very few examples of well-
                                             submitted to the OTC Drug Review for                    D. Comments on Effectiveness and FDA                  controlled studies of this type to date.
                                             evaluation were products that were                      Response                                                 Participants at the March 2005 NDAC
                                             intended to be used without water (i.e.,                1. Clinical Simulation Studies                        meeting also believed it would be
                                             rubs and skin preparations) (Id. at                                                                           unethical to perform a hospital trial
                                                                                                        (Comment 10) One comment stated
                                             25172).                                                                                                       using a vehicle control instead of an
                                                                                                     that FDA should require the same
                                                We disagree with the comment’s                                                                             antiseptic given the concerns with
                                                                                                     clinical studies that were required to
                                             assertions that manufacturers did not                                                                         performing placebo-controlled studies
                                                                                                     show a benefit of OTC consumer
                                             have notice or an opportunity to submit                                                                       on patients (Ref. 3). The inclusion of
                                                                                                     antiseptic washes over and above
                                             information to the OTC Drug Review on                                                                         such control arms in a clinical outcome
                                                                                                     washing with non-antibacterial soap for
                                             alcohol’s eligibility for use as a surgical                                                                   study conducted in a hospital setting
                                                                                                     OTC antiseptics used in the health care
                                             hand scrub. First, we note that the 1994                                                                      could pose an unacceptable health risk
                                                                                                     setting. The comment asserted that there              to study subjects (hospitalized patients
                                             TFM was a proposed rule, not a final
                                             rule; we proposed, but had not yet                      are numerous safety concerns with the                 and health care providers). In such
                                             found, alcohol to be GRAS/GRAE for                      use of these active ingredients and given             studies, a vehicle or negative control
                                             use in surgical hand scrub products.                    these concerns and health care workers’               would be a product with no
                                             Moreover, in the 2015 Health Care                       extensive exposure to these ingredients               antimicrobial activity. The use of
                                             Antiseptic PR, our proposal that alcohol                in their workplaces on a daily basis, the             vehicle or saline (a negative control) in
                                             was ineligible for use as a surgical hand               Agency should find that there is a                    a hospital setting (a setting with an
                                             scrub also was a preliminary                            benefit over and above washing with                   already elevated risk of infections)
                                             determination based on the lack of                      plain soap and water in order to make                 could increase the risk of infection for
                                             adequate evidence of eligibility for                    a GRAE determination for these active                 both health care providers and their
                                             evaluation under the OTC Drug Review.                   ingredients. The comment stated that if               patients. For these reasons, we continue
                                             In the proposed rule, we invited parties                FDA relies on bacterial reduction as a                to find that the use of clinical
                                             to submit such evidence of eligibility.                 proxy for effectiveness in the health care            simulation studies relying on surrogate
                                             We explained that if the documentation                  setting, it must require that that                    endpoints to evaluate the effectiveness
                                             demonstrated that an active ingredient                  reduction be compared against plain                   of health care antiseptics is the best
                                             met the OTC Drug Review requirements,                   soap and water, especially given that                 means available of assessing the
                                             the active ingredient could be                          workers in the health care setting likely             effectiveness of health care antiseptic
                                             determined to be eligible for evaluation                wash their hands more frequently than                 products.
                                             for the specified use. Parties had 180                  the general public, and thus, are                        (Comment 11) Given the ethical
                                             days to submit comments on the                          exposed to higher levels of these                     concerns with performing clinical trials
                                             proposed rule and 12 months to submit                   ingredients.                                          in a health care setting, one comment
                                             any new data or information on the                         (Response 10) As we explained in the               urged FDA to evaluate natural
                                             proposed rule, including evidence and                   2015 Health Care Antiseptic PR (80 FR                 experiments that have already occurred
                                             documentation on eligibility (80 FR                     25166 at 25175 to 25176), study design                (e.g., hospital systems that switched
                                             25166 at 25169). The comment                            limitations and ethical concerns prevent              away from chemical antiseptics in hand
                                             submitted in response to the 2015                       the use of clinical outcome studies to                washes) when making a final
                                             Health Care Antiseptic PR on this issue                 demonstrate the effectiveness of active               monograph decision. The comment also
                                             did not include any documentation or                    ingredients used in health care                       stated that, while the clinical simulation
                                             evidence to demonstrate that alcohol is                 antiseptic products. Participants at the              studies provide useful information
                                             eligible for use as a surgical hand scrub               March 2005 NDAC meeting                               about one possible route through which
                                             under the OTC antiseptic monograph,                     acknowledged the difficulty in                        bacterial illnesses are passed in a health
                                             despite the opportunity to include such                 designing clinical trials to demonstrate              care setting, as currently designed these
                                             information. Also, there was no                         the impact of health care antiseptics on              studies do not study the complex
                                             additional data or information                          rates of infection where numerous                     microflora of the hospital environment,
                                             submitted to the record thereafter to                   factors contribute to hospital-acquired               which is home to a wide range of
                                             demonstrate alcohol’s eligibility for                   infections, and therefore, would need to              bacterial populations. The comment
                                             evaluation under the OTC Drug Review                    be controlled for in the design of these              said that the bactericidal effectiveness of
                                             for use as a surgical hand scrub.                       types of studies. Participants at the                 the active ingredients is only partially
                                                For these reasons, we find that                      March 2005 NDAC meeting                               achieved with the in vitro testing. The
                                             alcohol continues to be ineligible for                  recommended that manufacturers                        comment explained that, in addition to
                                             evaluation under the OTC Drug Review                    perform an array of trials to look                    the MIC and time-kill testing, the in
                                             for use as a surgical hand scrub.                       simultaneously at the effect on the                   vitro tests for health care antiseptics
                                                                                                     surrogate endpoint and the clinical
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                                             Consequently, drug products containing                                                                        could mirror the ‘‘worst-case’’ real-
                                             alcohol for use in surgical hand scrubs                 endpoint to try to establish a link                   world assumptions. Clinical isolates
                                             will require approval under an NDA or                   between the surrogate and clinical                    that closely represent worst-case
                                             ANDA prior to marketing.                                endpoints, but provided no guidance on                hospital or health care microbial
                                                We also note that where these active                 possible study designs. At the time,                  populations (e.g., large numbers of
                                             ingredients are ineligible for evaluation               participants at the March 2005 NDAC                   multi-drug resistant bacterial strains)
                                             under the OTC Drug Review, interested                   meeting agreed that there were currently              could be highly useful in determining


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                                             60486        Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations

                                             the effectiveness of an active ingredient               reductions that would be achieved                     to make the 70 percent success rate for
                                             under real-world conditions. The                        under such conditions of use.                         abdomen, no products can make the 70
                                             comment stated that worst-case                                                                                percent success rate for the groin area at
                                                                                                     2. Log Reduction Testing Criteria
                                             assumptions could include patient-                                                                            30 seconds. One comment agreed with
                                             derived isolates from cases involving                      (Comment 12) Multiple comments                     the 30-second time point, but argued
                                             isolation due to multi-drug resistance or               were submitted to the 2015 Health Care                that sampling should include a time
                                             isolates from frequently contaminated                   Antiseptic docket on the in vivo testing              point after the drying time is completed
                                             surfaces within a hospital or health care               criteria that use bacterial log reductions            according to the directions. The
                                             setting (e.g., door knobs, soap                         for determining the effectiveness of                  comment stated that, in the proposed
                                             dispensers); and that this type of testing              active ingredients used in health care                amendment to the 1994 TFM, it is
                                             could be expanded into ‘‘clinical                       antiseptic products. One comment                      unclear whether the antiseptic would be
                                             simulation’’ studies by measuring log                   stated that single application testing and            tested 30 seconds after application and
                                             reduction of bacterial counts on hands                  increased log reduction for health care               while still wet, potentially resulting in
                                             contaminated under actual health care                   personnel hand rubs is not supported by               efficacy compromise. The comment
                                             conditions.                                             scientific evidence and that current gaps             asserted that FDA should allow the
                                                (Response 11) We believe that                        exist within the peer-reviewed                        product to fully dry before collecting 30-
                                             applying health care-associated high                    literature. The comment recommended                   second time point efficacy testing,
                                             risk microbial pathogens (e.g.,                         that the Agency not change the testing                especially with topical skin antiseptics,
                                             methicillin-resistant Staphylococcus                    requirements for the health care                      because it is important that the skin be
                                             aureus) during clinical simulation                      personnel hand rub products because                   fully dry to achieve maximum efficacy
                                             studies raises the ethical and study                    alcohol-based hand rubs are used                      and also to minimize potential skin
                                                                                                     millions of times a day across the                    irritation associated with use. Similarly,
                                             design issues we have discussed in this
                                                                                                     United States in all health care facilities.          another comment asserted that, when
                                             rulemaking. Currently, no historical
                                                                                                     The comment also asserted that the                    referring to time points after product
                                             data have been submitted to the docket
                                                                                                     recommended changes to the testing                    application for patient preoperative skin
                                             that address or evaluate the
                                                                                                     requirements by FDA could result in the               preparation, it should be explicitly
                                             effectiveness of health care antiseptic
                                                                                                     unavailability of hand hygiene products               stated that ‘‘after product application’’
                                             active ingredients in health care
                                                                                                     to the clinicians who utilize them daily              means ‘‘product application plus
                                             settings. Also, we are not aware of any
                                                                                                     to prevent the transmission of health                 required dry time.’’ Several comments
                                             health care personnel hand wash
                                                                                                     care associated infections to patients.               also stated that the proposed 10-minute
                                             antiseptic that has been replaced with
                                                                                                     One comment also asserted that FDA                    application period identified in the
                                             the use of plain soap and water in the                  should retain the effectiveness criteria
                                             hospital setting, and no such data have                                                                       1994 TFM is more representative of
                                                                                                     proposed for surgical hand scrubs                     current clinical application practices.
                                             been submitted to the docket. Moreover,                 identified in the 1994 TFM for single                    (Response 12) As described in the
                                             as explained in this rulemaking,                        applications only.                                    2015 Health Care Antiseptic PR, we
                                             participants at the March 2005 NDAC                        Several comments also asserted that                proposed revisions to the log reduction
                                             meeting believed that it would be                       FDA should retain the effectiveness                   criteria for health care personnel hand
                                             unethical to perform hospital trial                     criteria proposed in the 1994 TFM for                 washes and rubs, and for surgical hand
                                             studies using a vehicle control, such as                health care personnel hand wash and                   scrubs and rubs based on the
                                             plain soap and water, instead of an                     rub products as 2 log10 after a single                recommendations of the March 2005
                                             antiseptic.                                             application. The comments argued that                 NDAC meeting and comments to the
                                                In addition, the standard infection                  the proposed 2.5 log10 reduction with a               1994 TFM that argued that the
                                             control guidance broadly implemented                    70 percent success criterion for health               demonstration of a cumulative
                                             by CDC (Refs. 7 and 8), which involves                  care personnel hand wash products                     antiseptic effect for these products is
                                             measures such as gloving, hand hygiene,                 would be unattainable even by current                 unnecessary (80 FR 25166 at 25178). We
                                             patient-to-patient contact, and waste                   FDA-approved products. In addition,                   agreed that the critical element of
                                             disposal, makes it difficult to design an               several comments suggested that FDA                   effectiveness is that a product must be
                                             adequate clinical study (Ref. 9).                       adopt effectiveness criteria for in vivo              effective after the first application
                                                Moreover, the in vitro testing required              effectiveness testing of active                       because that represents the way in
                                             for proof of effectiveness against                      ingredients in surgical hand rubs and                 which health care personnel hand
                                             microorganisms (80 FR 25166 at 25177                    scrubs of a 1 log10 reduction within one              washes and rubs and surgical hand
                                             to 25178), is already intended to                       minute after the first application                    scrubs and rubs are used. Given that we
                                             characterize the activity (broad                        procedure with no return to baseline                  were no longer requiring a cumulative
                                             spectrum) of the antimicrobial                          within 6 hours.                                       antiseptic effect, the log reduction
                                             ingredient. The American Type Culture                      Several comments also asserted that it             criteria were revised to reflect this
                                             Collection (ATCC) strains we reference                  is inappropriate to propose a 30-second               single product application and fall
                                             in the 2015 Health Care Antiseptic PR                   contact time for patient preoperative                 between the log reductions previously
                                             for the in vitro testing are chosen to                  skin preparations. The comments                       proposed for the first and last
                                             represent a broad spectrum of bacteria                  argued that most active ingredients for               application. Accordingly, we continue
                                             that present a challenge to antisepsis                  use in patient preoperative skin                      to find that the log reduction criteria for
                                             and are the principal bacterial                         preparations would be unable to make                  these products should be applied to a
                                             pathogens encountered in hospital                       the log reduction effectiveness criteria at           single application of the product rather
                                             settings. The clinical simulation studies               30 seconds. The comments asserted
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                                                                                                                                                           than to multiple applications of the
                                             described in the 2015 Health Care                       that, although it may be possible for                 product.
                                             Antiseptic PR are based on the premise                  some patient preoperative skin                           Moreover, in the 2015 Health Care
                                             that bacterial reductions achieved using                preparation products to make the log                  Antiseptic PR, we also proposed that
                                             tests that simulate conditions of actual                reduction effectiveness criterion and                 patient antiseptic skin preparations (i.e.,
                                             use for each OTC health care antiseptic                 that it may be possible for some patient              patient preoperative and preinjection
                                             product category reflect the bacterial                  preoperative skin preparation products                skin preparations) be able to


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                                                          Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations                                          60487

                                             demonstrate effectiveness at 30 seconds                 superiority to negative control and a 95              vehicle or saline, may exhibit some
                                             because we believed that injections and                 percent confidence interval approach                  minimal antimicrobial properties. Thus,
                                             some incisions are made as soon as 30                   (80 FR 25166 at 25178 to 25179). FDA                  using superiority to negative control by
                                             seconds after skin preparation (80 FR                   also recommended that the success rate                those margins will help ensure that we
                                             25166 at 25178). In vivo studies are                    or responder rate of the test product be              can appropriately assess the
                                             based on the premise that bacterial                     significantly higher than 70 percent.                 effectiveness of the deferred
                                             reductions achieved using tests that                    This meant that the lower bound of the                antimicrobial products. The margins we
                                             simulate conditions of actual use for                   95 percent confidence interval for the                identify in this section were derived
                                             each health care antiseptic category                    proportion of subjects who met the log                from review and analysis of existing
                                             reflect the bacterial reductions that                   reduction criteria was expected to be at              data, and may be revised as data gaps on
                                             would be achieved under conditions of                   least 70 percent.                                     deferred antimicrobial products are
                                             such use. Accordingly, we find that the                    Consistent with the 1994 TFM and                   filled. Because of existing data gaps, we
                                             effectiveness criteria for patient                      2015 Health Care Antiseptic PR, we find               also require the deferred ingredient to
                                             antiseptic skin preparations (i.e., patient             that bacterial log reduction studies                  show non-inferiority to active controls
                                             preoperative and preinjection skin                      should continue to be used to                         by a 0.5 margin (log10 scale).
                                             preparations) should continue to                        demonstrate that an active ingredient is                 Accordingly, based on the updated
                                             include the 30-second sampling time                     effective for use in a health care                    analysis, the bacterial log reduction
                                             point. Also, we find that the 10-minute                 antiseptic product. Also consistent with              studies used to assess whether an active
                                             sampling time point proposed in the                     the 2015 Health Care Antiseptic PR,                   ingredient is effective for use in health
                                             1994 TFM should also be included in                     subjects should be randomized to a                    care antiseptics should include the
                                             the effectiveness criteria as a time point              three-arm study: Test, active control,                following:
                                             option for patient preoperative skin                    and negative control. However, based on                  • The test product should be non-
                                             preparations. These products should be                  comments submitted on the 2015 Health                 inferior to an FDA-approved active
                                             tested at the 30-second or 10-minute                    Care Antiseptic PR and the Agency’s                   control with a 0.5 margin (log10 scale).
                                             sampling time point after drying,                       further evaluation of additional data, we             That is, we expect the upper bound of
                                             according to the labeled directions for                 are updating the statistical analysis                 the 95 percent confidence interval of the
                                             use. For patient preinjection skin                      related to the log reduction criteria for             ATE of the active control compared to
                                             preparations, however, the 10-minute                    classifying health care antiseptic active             the test product to be less than 0.5 (log10
                                             sampling time point should not be a                     ingredients as GRAE. Also, as we                      scale). An active control is not intended
                                             time point option. Patient preinjection                 explain in section V.B.4, we include                  to validate the study conduct or to show
                                             skin preparations should be tested at the               separate effectiveness criteria for patient           superiority of the test drug product but
                                             30-second time point only.                              preinjection skin preparations to more                to show that the test drug product is not
                                                Based on comments submitted on the                   accurately reflect the actual use of these            inferior. Non-inferiority to active control
                                             2015 Health Care Antiseptic PR and the                  products. We also clarify, for patient                should be met at the following area and
                                             Agency’s further evaluation of                          preoperative skin preparations and                    times for the respective health care
                                             additional data, we have updated the                    patient preinjection skin preparations,               antiseptic indications:
                                             underlying statistical analysis related to              that the sampling time point                             Æ Patient preoperative skin
                                             the log reduction criteria for classifying              commences after the applied product                   preparation:
                                             health care antiseptic active ingredients               dries.
                                             as GRAE (Refs. 10, 11, 12, 13, 14, and                     The updated analysis is designed to                D Per square centimeter on abdominal
                                             15).                                                    assess whether the average treatment                       site within 30 seconds after drying,
                                                In the 1994 TFM, FDA recommended                     effects (ATE) across subjects meet                         or within 10 minutes after drying
                                             that the general effectiveness of                       indication-specific conditions of                     D Per square centimeter on groin site
                                             antiseptics be assessed in a number of                  superiority and non-inferiority, rather                    within 30 seconds after drying, or
                                             ways, including conducting clinical                     than whether the percentage of subjects                    within 10 minutes after drying
                                             simulation studies with the surrogate                   who meet an indication-specific                       Æ Patient preinjection skin preparation:
                                             endpoint of the number of bacteria                      threshold significantly exceeds 70                         Per square centimeter on a dry site
                                             removed from the skin. In the 2015                      percent. More specifically, the updated                    (i.e., forearm, abdomen, or back)
                                             Health Care Antiseptic PR, FDA made                     analysis estimates the ATE from a linear                   within 30 seconds after drying
                                             revisions to the effectiveness criteria set             regression of post-treatment bacterial                Æ Health care personnel hand wash: On
                                             forth in the 1994 TFM, while continuing                 count (log10 scale) on the additive effect                 each hand within 5 minutes after a
                                             to recommend that bacterial log                         of a treatment indicator and the baseline                  single wash
                                             reduction studies be used to                            or pre-treatment measurement (log10                   Æ Health care personnel hand rub: On
                                             demonstrate that an active ingredient is                scale). In the conditions below, the ATE                   each hand within 5 minutes after a
                                             GRAE for use in a health care antiseptic                of the test product compared to the                        single rub.
                                             product. FDA recommended that these                     negative control is defined as the                    Æ Surgical hand scrub: On each hand
                                             bacterial log reduction studies: (1)                    contrast of treatment effect of negative                   within 5 minutes after a single
                                             Include both a negative control (test                   control minus the treatment effect of the                  scrub
                                             product vehicle or saline solution) and                 test drug in the linear regression.                   Æ Surgical hand rub: On each hand
                                             an active control; (2) have an adequate                 Likewise, the ATE of the active control                    within 5 minutes after a single rub
                                             sample size to show that the test                       compared to the test product is defined                  • The test product should be superior
                                             product is superior to its negative                     as the contrast of treatment effect of test           to the vehicle control by an indication-
                                                                                                                                                           specific margin. That is, we expect the
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                                             control; (3) incorporate the use of an                  product minus the treatment effect of
                                             appropriate neutralizer and a                           the active control in the linear                      lower bound of the 95 percent
                                             demonstration of neutralizer validation;                regression.                                           confidence interval of the ATE of the
                                             and (4) include an analysis of the                        Superiority to negative control by a                test product compared to the vehicle
                                             proportion of subjects who meet the                     specific margin is needed because our                 control to be greater than the indication-
                                             recommended log reduction criteria                      evaluation suggests that application of a             specific margin. In cases where the
                                             based on a two-sided statistical test for               negative control, whether test product’s              vehicle cannot be used as a negative


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                                             60488        Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations

                                             control, nonantimicrobial soap or saline                3. Baseline Bacterial Count                           negative control. The number of viable
                                             solution can be used. Based on our                         (Comment 13) Several comments                      microorganisms recovered from the skin
                                             evaluation of the existing data, the                    asserted that the Agency does not                     of each subject at baseline should be
                                             following indication-specific superiority               specify a minimum baseline bacterial                  provided in the final study report. In
                                             margin should be met by the deferred                    count for subject eligibility in the                  addition, given the updated statistical
                                             ingredients for the respective health                                                                         analysis criteria outlined in section
                                                                                                     clinical simulation studies and that the
                                             care antiseptic indications:                                                                                  V.D.2, it is unnecessary to apply the
                                                                                                     1994 TFM is vague with regard to
                                             Æ Superiority margin of 1.2 log10 for                                                                         baseline values for patient preoperative
                                                                                                     baseline values. The 1994 TFM states
                                                  patient preoperative skin                                                                                skin preparations that follow the ASTM
                                                                                                     only that sites are to possess bacterial
                                                  preparation                                                                                              E1173 method.
                                                                                                     populations large enough to allow                        Moreover, if manufacturers find it
                                             D per square centimeter on abdominal                    demonstrations of bacterial reduction of
                                                  site within 30 seconds after drying,                                                                     challenging to recruit subjects who have
                                                                                                     up to 2 log10 per square centimeter on                resident bacterial counts high enough to
                                                  or within 10 minutes after drying                  dry skin sites and 3 log10 per square
                                             D per square centimeter on groin site                                                                         be eligible for these studies, we
                                                                                                     centimeter on moist sites (59 FR 31402                recommend the use of the back as an
                                                  within 30 seconds after drying, or                 at 31450). One comment urged FDA to
                                                  within 10 minutes after drying                                                                           alternate dry test site, rather than using
                                                                                                     use baseline values for patient                       the arm. We do not recommend the use
                                             Æ Superiority margin of 1.2 log10 for                   preoperative skin preparations that
                                                  patient preinjection skin                                                                                of an occlusive dressing (sterile gauze).
                                                                                                     follow the American Society for Testing               Covering the test sites has the potential
                                                  preparation per square centimeter                  and Materials (ASTM) 3 method E1173,
                                                  on a dry site (i.e., forearm,                                                                            to change the make-up of the microbial
                                                                                                     which is more specific and states that                population. Therefore, the use of
                                                  abdomen, or back) within 30                        the bacterial baseline population should
                                                  seconds after drying                                                                                     occlusion may not provide an accurate
                                                                                                     be at least 3 log10 per square centimeter             assessment of how effective the product
                                             Æ Superiority margin of 1.2 log10 for                   on moist skin sites and at least 2 log10
                                                  health care personnel hand wash on                                                                       will be under actual use conditions.
                                                                                                     greater than the detection limit on dry
                                                  each hand within 5 minutes after a                 skin sites. Several comments also stated              4. Persistence
                                                  single wash                                        that it was challenging to find subjects                 (Comment 14) One comment stated
                                             Æ Superiority margin of 1.5 log10 for                   who have resident bacterial counts high               that current infection control
                                                  health care personnel hand rub on                  enough to be eligible for these studies.              procedures make persistence of
                                                  each hand within 5 minutes after a                    (Response 13) We do not specify a                  antimicrobial activity for surgical hand
                                                  single rub                                         minimum baseline bacterial count for                  scrub and patient preoperative skin
                                             Æ Superiority margin of 0.5 log10 for                   subject eligibility in the clinical                   preparations irrelevant. The comment
                                                  surgical hand scrub on each hand                   simulation studies; however, the test                 asserted that persistence of effect may,
                                                  within 5 minutes after a single                    sites should possess bacterial                        in fact, be a negative attribute for these
                                                  scrub                                              populations large enough to meet the                  products because it may cause irritation.
                                             Æ Superiority margin of 1.5 log10 for                   updated statistical criteria as explained             The comment suggested that the Agency
                                                  surgical hand rub on each hand                     in section III.D.2. We do not specify a               place more emphasis on the mildness of
                                                  within 5 minutes after a single rub                minimum baseline bacterial count                      these products rather than the
                                                As discussed in more detail in section               because, as explained in section III.D.2,             persistence of these products. Another
                                             V.D.4, we believe that persistence of                   the ATE is used to demonstrate                        comment agreed with the Agency’s
                                             antimicrobial effect is an important                    effectiveness. Rather than using only a               requirement that patient preoperative
                                             attribute for health care antiseptic                    change from baseline, each criterion                  skin preparations and surgical scrubs
                                             products, and in particular for patient                 (groin site and abdomen site) uses the                have a persistent antimicrobial effect.
                                             preoperative skin preparations, surgical                ATE, an estimated difference of the                   Another comment contended that the
                                             hand scrubs, and surgical hand rubs. To                 effect of two treatments correcting for               Agency’s statement about the need for
                                             show persistence of effect for these                    baseline count. Manufacturers are                     persistence of effect for patient
                                             health care antiseptic indications, the 6               encouraged to select subjects with                    preoperative hand scrubs lacks
                                             hours post-treatment measurement                        baseline counts significantly higher than             substantiating data. Another comment
                                             should be lower than or equal to the                    the expected log reductions achieved                  stated that the concept of persistence of
                                             baseline measurement for 100 percent of                 during the testing (i.e., high enough to              antimicrobial activity is not consistent
                                             the subjects in each indication and body                allow for a positive residual of bacterial            for surgical scrub and patient
                                             area tested.                                            burden after the use of the active control            preoperative skin preparations, nor is it
                                                Moreover, for the deferred                           and the test product). This selection will            consistent with clinical practice. The
                                             ingredients, a minimum sample size of                   ensure that there is a high enough                    comment asserted that the testing
                                             100 subjects per treatment arm should                   bacterial count at baseline to assess the             requirements for a patient preoperative
                                             be included for each indication. This                   full effectiveness of both the active                 skin preparation limit the definition of
                                             sample size will ensure that ATE will be                control and the product under                         persistence to 6 hours of sustained
                                             estimated precisely for the deferred                    evaluation. Likewise, a bacterial burden              activity after each product use. The
                                             ingredients and can be used for future                  so low that it is depleted readily both by            comment recommended that persistence
                                             reference in final product monographs.                  the vehicle (or negative control) and by              for surgical hand scrub products be
                                             Exact sample size can be based on the                   the test product, will not allow for an               defined as sustained activity of the
                                             margins for non-inferiority and                         assessment of the effectiveness of that               antimicrobial formulation for a period of
                                             superiority as well as an assessment of
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                                                                                                     test product because the outcome would                6 hours after product use. Another
                                             variability. In addition, two adequate                  equally be zero and it will not be                    comment asserted that persistence
                                             and well-controlled clinical simulation                 possible to measure the difference in log             should not be required for any of the
                                             pivotal studies should be conducted for                 reduction between the test product and                health care indications.
                                             each indication at two separate                                                                                  (Response 14) In the 1994 TFM, we
                                             independent laboratory facilities by                      3 General information about ASTM International      described the importance of persistence
                                             independent principal investigators.                    can be found at https://www.astm.org/.                as a characteristic of antiseptic drug


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                                                          Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations                                         60489

                                             products. We agreed with the Advisory                   spectrum, persistent antiseptic-                      procedure does not include any
                                             Review Panel on OTC Miscellaneous                       containing preparations that                          reference to the active control sites.
                                             External Drug Products’ finding that                    significantly reduce the number of                       Several comments agreed that the
                                             persistence, defined as prolonged                       microorganisms on intact skin. As                     Agency’s proposed changes to the in
                                             activity, is a valuable attribute that                  discussed in section V.D.2 of this final              vivo efficacy testing will reflect more
                                             assures antimicrobial activity during the               rule, to show the persistence of effect for           accurately the real world use of topical
                                             interval between washings and is                        these health care antiseptic indications,             antiseptic drug products. The comments
                                             important for a safe and effective health               the 6 hours post-treatment measurement                requested that the Agency provide a
                                             care personnel hand wash. We agreed                     should be lower than or equal to the                  validated ‘‘gold standard’’ for use as an
                                             that a property such as persistence,                    baseline measurement for 100 percent of               active control. One comment stated that
                                             which acts to prevent the growth or                     subjects for each indication and body                 it is appropriate that GRAS/GRAE active
                                             establishment of transient                              area tested.                                          ingredients would serve as the active
                                             microorganisms as part of the normal                                                                          control for any effectiveness studies
                                                                                                     5. Controls                                           required for final formulations. For
                                             baseline or resident flora, would be an
                                             added benefit (59 FR 31402 at 31407).                     (Comment 15) Several comments                       example, the comment explained that
                                             Accordingly, we proposed to include                     objected to the use of controls because               alcohol at the concentration and
                                             the persistence requirement in the                      we do not specify what positive control               application instructions evaluated in the
                                             definitions of patient preoperative skin                material to use in the effectiveness                  pivotal studies to help establish GRAS/
                                             preparations and surgical hand scrubs                   studies. One comment contended that,                  GRAE status would become the active
                                             because we believe that persistence of                  because the Agency does not specify the               control for effectiveness studies
                                             antimicrobial effect would suppress the                 control product, the test results will                involving alcohol-based final
                                             growth of residual skin flora not                       differ depending on the effectiveness of              formulations. This would be more
                                             removed by preoperative prepping as                     the positive control. Another comment                 appropriate than using an FDA-
                                             well as transient microorganisms                        recommended that we convene an                        approved product for the active control,
                                             inadvertently added to the operative                    expert panel to develop standard                      particularly for alcohol-based hand
                                             field during the course of surgery and                  positive controls. They cite the trend, on            sanitizer products where the only FDA-
                                             reduce the risk of surgical wound                       a worldwide basis, to identify and adopt              approved drug is a dual-active product.
                                             infection. Specifically, we proposed to                                                                          (Response 15) We do not define a
                                                                                                     standardized testing procedures. They
                                             define patient preoperative skin                                                                              specific positive control material to use
                                                                                                     believe it would be far better for the
                                             preparation to be a fast acting, broad                                                                        in the effectiveness studies in this final
                                                                                                     international harmonization effort if a
                                             spectrum, and persistent antiseptic                                                                           rule, but we do recommend the use of
                                                                                                     standard chemical, rather than a specific
                                             containing preparations that                                                                                  an appropriate FDA-approved NDA
                                                                                                     product or commercial formulation, was
                                                                                                                                                           antiseptic as the positive control (i.e.,
                                             significantly reduce the number of                      used as the control. For these reasons,
                                                                                                                                                           active control) when conducting the
                                             micro-organisms on intact skin, and we                  the comment recommended that the
                                                                                                                                                           effectiveness testing of health care
                                             proposed to define surgical hand scrub                  positive control should be a standard
                                                                                                                                                           antiseptic active ingredients. We
                                             drug products to be an antiseptic                       chemical that can be produced on a
                                                                                                                                                           recognize that many countries have
                                             containing preparation that significantly               global basis and will perform                         adopted standard chemicals for their
                                             reduces the number of microorganisms                    consistently and reproducibly.                        active controls. However, we still
                                             on intact skin; it is broad spectrum, fast                Other comments requested that we                    believe that we cannot define a specific
                                             acting, and persistent (59 FR 31402 at                  clarify how to interpret the results of the           active control product for the following
                                             31442). In addition, although we do not                 positive control. One comment asked if                reasons:
                                             require persistence for health care                     our standard is meeting the required log                 • We do not have sufficient data to
                                             personnel hand washes, we did propose                   reduction, superiority to the positive                choose a specific universal active
                                             to retain the words ‘‘if possible,                      control, or both. Another comment                     control product that will be appropriate
                                             persistent’’ in the definition of health                pointed out that the Agency does not                  for all test formulations or active
                                             care personnel hand wash (59 FR 31402                   define the criterion for an acceptable                ingredients.
                                             at 31442).                                              outcome for the positive control. For                    • Changes to the formulation or
                                                FDA continues to believe that                        instance, the comment states that it is               manufacturing of the chosen active
                                             persistence of antimicrobial effect is an               unclear if an 80 percent success rate in              control product might affect its activity
                                             important attribute because it can                      the positive control for a surgical hand              in future studies. Consequently,
                                             suppress the growth of residual skin                    scrub would be acceptable and if so,                  products tested against the modified
                                             flora, as well as transient                             whether the new treatment could be 20                 active control might not be held to the
                                             microorganisms not removed by                           percent less successful than the positive             same standards as products tested
                                             preoperative prepping or hand                           control and still be equivalent. For                  previously.
                                             scrubbing. FDA is also aware that the                   health care personnel hand washes, they                  Although we do not identify a specific
                                             donning of surgical gloves may produce                  assert that it is not clear if the control            control product, we do identify test
                                             a rapid increase in microbial count on                  must meet the requirements of 2 and 3                 criteria for the active control. As
                                             the hands (Refs. 16, 17, and 18), even                  log10 reduction at the lower 95 percent               described in section V.D.2, we
                                             after use of a surgical hand antiseptic                 confidence interval limit or an average.              recommend the use of non-inferiority of
                                             product, which is another reason why                    The comment requested that FDA                        the test product to an FDA-approved
                                             persistence of effect is a critical                     specify criteria for validity of the study            active control by a margin of 0.5 (log10
                                             characteristic for antiseptic products.
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                                                                                                     in terms of the positive control and                  scale). That is, we expect the upper
                                             Accordingly, we find that persistence is                criteria for concluding that a test                   bound of the 95 percent confidence
                                             a requirement for surgical hand scrubs,                 material is effective in terms of                     interval of the ATE of the active control
                                             surgical hand rubs, and patient                         equivalence to the positive control. One              compared to the test product to be less
                                             preoperative skin preparations. We find                 comment noted that the Agency’s                       than 0.5 (log10 scale). An active control
                                             that these antimicrobial products must                  proposed patient preoperative skin                    is not intended to validate the study
                                             be fast-acting and consist of broad                     preparation treatment application                     conduct or show superiority of the test


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                                             60490        Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations

                                             drug product, but to show that the test                 and kinetics of antimicrobial activity of                (Response 17) We agree that the
                                             drug product is not inferior.                           a health care antiseptic as including the             determination of the in vitro spectrum
                                                In addition, we recommend the use of                 following:                                            of antimicrobial activity against recently
                                             an active control product of the same                      • A determination of the in vitro                  isolated normal flora and cutaneous
                                             type as the test product. For example, if               spectrum of antimicrobial activity                    pathogens is meant to describe what
                                             the test product is a leave-on surgical                 against recently isolated normal flora                will be learned from the MIC and/or
                                             hand antiseptic, then an FDA-approved                   and cutaneous pathogens;                              MBC and time-kill studies and is not
                                             leave-on surgical hand antiseptic should                   • Minimum inhibitory concentration                 intended to be a separate study. With
                                             be used as the active control rather than               (MIC) or minimum bactericidal                         regards to testing for the emergence of
                                             a rinse-off surgical hand antiseptic. We                concentration (MBC) testing of 25                     resistance, we are requiring resistance
                                             believe it is more appropriate to                       representative clinical isolates and 25               testing for three of the six deferred
                                             compare similar types of products.                      reference strains of each of the                      active ingredients—benzalkonium
                                                (Comment 16) One comment stated                      microorganisms listed in the 1994 TFM;                chloride, benzethonium chloride, and
                                             that a vehicle typically refers to the                  and                                                   chloroxylenol (Refs. 10, 11, 12, 13, 14,
                                             product formulated without the active                      • Time-kill testing of each of the                 and 15). However, we are not requiring
                                             ingredient. The comment recommended                     microorganisms listed in the 1994 TFM                 resistance testing for the other three
                                             that the term ‘‘vehicle’’ be replaced with              to assess how rapidly the antiseptic                  deferred active ingredients—ethyl
                                             the term ‘‘negative control.’’ Another                  active ingredient produces its effect.                alcohol, isopropyl alcohol, and
                                             comment requested that FDA clarify                      The dilutions and time points tested                  povidone-iodine (see section V.D.2).
                                             whether testing of the vehicle is                       should be relevant to the actual use                     In addition, we disagree that we are
                                             required.                                               pattern of the final product.                         suggesting that previous tests of the
                                                (Response 16) We recognize that the                  The comment requested that we confirm                 same or similar strains are no longer
                                             term ‘‘negative control’’ may be broader                that the first bullet is meant to describe            valid. In the 2015 Health Care
                                             than the term ‘‘vehicle,’’ and we agree                 what will be learned from the studies                 Antiseptic PR, we proposed the option
                                             that the term ‘‘vehicle’’ should be                     outlined in the last two bullets because              of assessing the MBC as an alternative
                                             replaced with the term ‘‘negative                       they do not recognize the first bullet as             to testing the MIC. We also reiterated
                                             control’’ where applicable. As discussed                an actual study. The comment also                     our proposal that the evaluation of the
                                             in section V.D.2, we recommend that                     asked for confirmation that the                       spectrum and kinetics of antimicrobial
                                             the effectiveness testing study design for              emergence of resistance testing is no                 activity of health care antiseptic active
                                             health care antiseptic active ingredients               longer a requirement.                                 ingredients should include MIC (or
                                             include a negative control arm, which is                   Another comment stated that the                    MBC) testing of 25 representative
                                             used as a comparator for the test                       Agency has proposed in vitro testing of               clinical isolates and 25 reference (e.g.,
                                             product. The appropriate negative                       1,150 microorganisms (25 clinical                     ATCC) strains of each of the
                                             control to be used in the studies is the                isolates and 25 reference isolates for 23             microorganisms listed in the 1994 TFM,
                                             test product’s vehicle, which we                        microorganisms). The comment argued                   in addition to the other proposed
                                             interpret to be the same product being                  that the Agency’s suggestion that                     requirements. In the 2015 Health Care
                                             tested, without the active ingredient                   previous tests of the same or similar                 Antiseptic PR, we noted that, despite
                                             included, and therefore, best represents                strains are no longer valid is arbitrary              the fact that the in vitro data submitted
                                             the independent contribution of the                     and that the requirement for new                      to support the effectiveness of antiseptic
                                             antiseptic active ingredient. Because the               repeated tests is unduly burdensome.                  active ingredients were far less
                                             same directions for use will apply to the               The comment asserted that the proposed                extensive than proposed in the 1994
                                             negative control and the test product,                  number of clinical and reference isolates             TFM, manufacturers may have data
                                             this should account for any potential                   far exceeds the number required for                   from their own product development
                                             mechanical removal of microorganisms,                   FDA-approved hand hygiene products,                   programs which they have not
                                             which occurs during the rubbing,                        which have successfully completed the                 submitted to the docket and/or that
                                             scrubbing, wiping, or rinsing process,                  review process. The comment                           published data may have become
                                             independent of the active ingredient                    recommended that organisms of current                 available that would satisfy some or all
                                             effect. If there is a scientific reason why             clinical value as well as recent clinical             of the data requirements (80 FR 25166
                                             testing a product using its vehicle as a                isolates be utilized to better assess the             at 25178).
                                             negative control is not feasible,                       in vitro efficacy of these active                        As we explained in the 2015 Health
                                             discussions can be had with FDA to                      ingredients. Another comment similarly                Care Antiseptic PR, we agree that the in
                                             determine whether the use of an                         asserted that the microorganisms                      vitro testing proposed in the 1994 TFM
                                             alternative negative control, such as a                 identified by FDA for antimicrobial                   is not necessary for testing every final
                                             saline solution or nonantimicrobial soap                activity testing do not include                       formulation of an antiseptic product
                                             (for health care personnel and surgical                 pathogens that are relevant to current                that contains a GRAE ingredient (80 FR
                                             hand antiseptics), may be acceptable.                   health care settings; the comment                     25166 at 25177). However, we continue
                                                We note that the testing described in                argued that the list should include                   to believe that a GRAE determination for
                                             this document pertains to single active                 Methicillin-resistant Staphylococcus                  health care antiseptic active ingredients
                                             ingredients. Manufacturers should                       aureus, Methicillin-resistant                         should be supported by adequate in
                                             contact us if, in the future, they would                Staphylococcus epidermidis,                           vitro characterization of the
                                             like to develop a fixed-combination                     Vancomycin-resistant Enterococcus;                    antimicrobial activity of the ingredient.
                                             health care antiseptic drug product.                    Enterococcus faecalis and Enterococcus                We note that, for the six deferred active
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                                                                                                     faecium). Another comment proposed                    ingredients, the Agency is reviewing
                                             6. In Vitro Testing                                     that FDA should consider adequate                     proposed protocols for the safety and
                                                (Comment 17) One comment outlined                    justifications for testing fewer than the             effectiveness studies, including the list
                                             the Agency’s proposed requirements                      identified strains for organisms where                of organisms for the time-kill testing and
                                             listed in the 2015 Health Care                          25 clinical isolates and/or 25 standard               MIC/MBC testing, which may include
                                             Antiseptic PR (80 FR 25166 at 25177 to                  strains are not available for screening               additional resistant organisms that are
                                             25178) for an evaluation of the spectrum                active ingredients.                                   relevant to current health care settings.


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                                                          Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations                                           60491

                                             7. American Society for Testing and                     antiseptic active ingredients. The                    standards are reasonable and considered
                                             Materials Standards                                     comment agreed that more testing is                   them to be minimal safety standards for
                                                (Comment 18) Several comments                        needed to support a GRAS                              currently available, as well as future
                                             proposed that the Agency recognize                      determination for these active                        healthcare antiseptic products (Ref. 19).
                                             specific ASTM protocols as                              ingredients. Other comments, however,                    Moreover, the long history of use of a
                                             standardized test methods for                           asserted that the safety testing proposed             drug product is not sufficient to
                                             demonstrating that an active ingredient                 in the 2015 Health Care Antiseptic PR                 demonstrate the safety of the product. In
                                             is GRAE for use in health care                          for active ingredients used in health                 the case of antiseptic products, the
                                             antiseptics and demonstrating                           care antiseptics is unnecessary and                   Agency has requested safety data in
                                             effectiveness for final product                         burdensome. The comments asserted                     both the 1994 TFM and the 2015 Health
                                             formulations. These ASTM test methods                   that FDA has not provided data to                     Care Antiseptic PR in order to finalize
                                             include the ASTM E1174 ‘‘Standard                       justify that additional safety data are               the antiseptic rules. Relying solely on
                                             Test Method for the Evaluation of the                   needed for these ingredients to make a                adverse event reporting cannot fill data
                                             Effectiveness of Health Care Personnel                  GRAS determination and stated that the                gaps regarding risks such as
                                             Handwash Formulations’’; the ASTM                       extensive historical use of these                     reproductive toxicity or carcinogenicity.
                                             E2755–10 ‘‘Standard Test Method for                     products should serve as proof of the                 As an example, phenolphthalein was an
                                             Determining the Bacteria-Eliminating                    products’ safety and effectiveness.                   OTC product with a long history of use
                                             Effectiveness of Hand Sanitizer                            Another comment stated that FDA                    as a laxative, but when animal studies
                                             Formulations Using Hands of Adults’’;                   must document how the systemic                        were conducted, evidence of
                                             the ASTM E1115–11 ‘‘Standard Test                       absorption levels of active ingredients               carcinogenicity was detected. The April
                                             Method for Evaluation of Surgical Hand                  from the use of health care antiseptics               30, 1997, FDA Center for Drug
                                             Scrub Formulations’’; the ASTM E1173–                   differ from FDA’s previous assessment                 Evaluation and Research (CDER)
                                             15 ‘‘Standard Test Method for                           of the safety of these ingredients. The               Carcinogenicity Assessment Committee
                                             Evaluation of Preoperative,                             comment asserted that, given the lack of              (CAC) meeting concluded that there was
                                             Precatheterization, or Preinjection Skin                information on FDA’s current position                 supportive evidence indicating that
                                             Preparations’’; the ASTM E1054                          on the specific details regarding risk                phenolphthalein may be carcinogenic
                                             ‘‘Standard Test Methods for Evaluation                  assessment, FDA should consider in                    through a genotoxic mechanism. FDA
                                             of Inactivators of Antimicrobial                        vitro data and dose-extrapolation data.               concluded ‘‘phenolphthalein caused
                                                                                                        Another comment suggested that                     chromosome aberrations, cell
                                             Agents’’; the ASTM E2783 ‘‘Standard
                                                                                                     long-term systemic exposure to active                 transformation, and mutagenicity in
                                             Test Method for Assessment of
                                                                                                     ingredients used in health care                       mammalian cells. Because benign and
                                             Antimicrobial Activity for Water
                                                                                                     antiseptics could be reduced if the                   malignant tumor formation occurs at
                                             Miscible Compounds Using a Time-Kill
                                                                                                     efficacy standards for these products                 multiple tissue sites in multiple species
                                             Procedure’’; and the Clinical and                       were decreased because lower dose                     of experimental animals,
                                             Laboratory Standards Institute M07–                     products could be formulated.                         phenolphthalein is reasonably
                                             A10 ‘‘Methods for Dilution                                 (Response 19) We continue to believe               anticipated to have human carcinogenic
                                             Antimicrobial Susceptibility Tests for                  that the additional safety data outlined              potential.’’ This conclusion led to the
                                             Bacteria That Grow Aerobically.’’                       in the 2015 Health Care Antiseptic PR
                                                (Response 18) For purposes of the six                                                                      removal of phenolphthalein from the
                                                                                                     are necessary to support a GRAS                       market (64 FR 4535, 4538) (Ref. 20).
                                             deferred active ingredients, we have                    classification for the health care                       Finally, in this context, the safety data
                                             reviewed these test methods and believe                 antiseptic active ingredients. As was                 required to make a final GRAS
                                             they may be useful to help establish                    explained in the 2015 Health Care                     determination on active ingredients
                                             GRAE status for the health care                         Antiseptic PR, several important                      used in health care antiseptic products
                                             antiseptic products for their respective                scientific developments that affect the               would remain the same even if FDA
                                             indications. We are currently discussing                safety evaluation of the health care                  determined that the data requirements
                                             with manufacturers and trade                            antiseptic active ingredients have                    necessary to make a GRAE
                                             organizations that requested the                        occurred since FDA’s 1994 evaluation.                 determination should be changed.
                                             deferrals how these test methods may be                 New data and information on the health                   (Comment 20) Several comments also
                                             used to meet the current effectiveness                  care antiseptic active ingredients raise              stated that the additional testing
                                             criteria.                                               concerns regarding potential risks from               requirements could cause disruptions of
                                                Testing requirements for final                       systemic absorption and long-term                     the availability of health care antiseptics
                                             formulation, however, are not addressed                 exposure, as well as development of                   for clinical use. One comment urged the
                                             in this final rule because none of the                  bacterial resistance related to                       Agency to fully consider the
                                             active ingredients subject to this final                widespread antiseptic use (80 FR 25166                consequences of the additional testing
                                             rule have been found to be GRAE for use                 at 25167). Data that meet current safety              requirements, especially at a time when
                                             in health care antiseptic products. The                 standards are needed for FDA to                       hand hygiene is considered to be the
                                             testing requirements for final                          conduct an adequate safety evaluation                 cornerstone for preventing the spread of
                                             formulation of these products                           to ensure that health care antiseptic                 pathogenic organisms in health care
                                             containing the six deferred active                      active ingredients are GRAS. Moreover,                settings.
                                             ingredients will be addressed after a                   as previously explained in this                          (Response 20) We agree that health
                                             decision is made regarding the                          document, the September 2014 NDAC                     care antiseptic products are an
                                             monograph status of those ingredients.                  meeting participants discussed FDA’s                  important component of infection
                                                                                                     proposed revisions to the safety data                 control strategies in health care settings
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                                             E. Comments on Safety and FDA
                                             Response                                                requirements and agreed that these                    and remain the standard of care to
                                                                                                     requirements were appropriate to                      prevent illness and the spread of
                                             1. Need for Additional Safety Data                      demonstrate that a health care antiseptic             infections (Refs. 7 and 8). As we
                                                (Comment 19) One comment                             active ingredient is GRAS. Participants               emphasized in the 2015 Health Care
                                             supported FDA’s proposal to require                     at the September 2014 NDAC meeting                    Antiseptic PR, our proposal for more
                                             additional safety data for the health care              further concluded that these safety                   safety and effectiveness data for health


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                                             60492        Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations

                                             care antiseptic active ingredients does                 criteria associated with the GRAS                     as for products to be formulated in the
                                             not mean that we believe that health                    standard, including: (1) A low incidence              future (Ref. 19) and are required to
                                             care antiseptic products containing                     of adverse events when used as directed               support a GRAS determination for these
                                             these ingredients are ineffective or                    and in the context of warnings; (2) low               ingredients.
                                             unsafe. However, data that meet current                 potential for harm if abused under                      In terms of animal testing, the
                                             safety requirements are still needed to                 conditions of widespread availability;                September 2014 NDAC meeting
                                             support a GRAS determination for these                  (3) significant human marketing                       addressed the issue of the
                                             active ingredients used in health care                  experience; (4) and, adequate tests to                appropriateness of conducting animal
                                             antiseptic products.                                    show proof of safety, among other                     studies to obtain safety data for health
                                                We do not believe that these                         criteria. The comment stated that FDA                 care antiseptic products (Ref. 4). We
                                             additional testing requirements will                    is not taking into account the low                    understand that animal use in tests for
                                             disrupt the availability of health care                 incidence of adverse events associated                the efficacy and safety of human and
                                             antiseptics for clinical use. As explained              with the use of antiseptic active                     animal products has been and continues
                                             in the 2015 Health Care Antiseptic PR,                  ingredients and the overall acceptance                to be a concern, and FDA continues to
                                             we provided a process for seeking an                    of these products globally. The                       support efforts to reduce animal testing,
                                             extension of time to submit the required                comment also mentioned that numerous                  particularly where new alternative
                                             safety and/or effectiveness data if                     scientific and regulatory bodies have                 methods for safety evaluation have been
                                             needed (80 FR 25166 at 25169). As                       performed exposure-driven risk                        validated and accepted by International
                                             discussed in this document, we have                     assessments and have not required the                 Council for Harmonisation of Technical
                                             deferred further rulemaking on six                      types of human or animal data                         Requirements for Pharmaceuticals for
                                             active ingredients used in OTC health                   mentioned in the 2015 Health Care                     Human Use (ICH) regulatory authorities.
                                             care antiseptic products to allow for the               Antiseptic PR.                                        To address this issue, we encourage
                                             development and submission of new                          (Response 21) FDA presented the                    manufacturers to consult with the
                                             safety and efficacy data. Although in                   safety paradigm for OTC health care                   Agency on the use of non-animal testing
                                             this final rule we find that the 24 non-                antiseptics at the September 2014 NDAC                methods that may be suitable, adequate,
                                             deferred active ingredients are not                     meeting (Ref. 21) where the Agency                    validated, and feasible to fill important
                                             GRAS/GRAE for use in OTC health care                    sought NDAC’s advice about the type                   data gaps that cannot be filled with
                                             antiseptic products, health care                        and scope of safety data needed for OTC               marketing experience alone. However,
                                             antiseptic drug products that have been                 health care antiseptic products. In                   there are still many areas where non-
                                             approved under an NDA or that contain                   FDA’s presentation to NDAC, we                        animal testing has not been sufficiently
                                             one or more of the six deferred active                  explained that when evaluating a                      developed as an alternative option and
                                             ingredients still continue to be                        proposed monograph active ingredient,                 animal studies are still considered
                                             available.                                              FDA applies the following regulatory                  necessary to fill important safety gaps
                                                Accordingly, we do not believe that                  standards, which are cited in 21 CFR                  (Refs. 4 and 19).
                                             the additional testing requirements will                330.10(a)(4)(i):
                                             cause a disruption in the availability of                  • Safety means a low incidence of                  2. MUsT Requirements
                                             OTC health care antiseptic products.                    adverse reactions or significant side                    (Comment 22) One comment asserted
                                                (Comment 21) Another comment                         effects under adequate directions for use             that FDA should reconsider the need to
                                             asserted that FDA’s reasons for                         and warnings against unsafe use, as well              conduct MUsTs to assess systemic
                                             requesting additional safety data are                   as low potential for harm which may                   exposures associated with extreme use
                                             flawed. The comment stated that FDA                     result from abuse under conditions of                 applications. The comment stated that
                                             should analyze all existing hazard data                 widespread availability.                              the clinical utility of this testing has not
                                             and consider the extent of human or                        • Proof of safety shall consist of                 been firmly established and the
                                             environmental exposure as part of the                   adequate tests by methods reasonably                  methodology necessary to conduct this
                                             process for deciding the nature and                     applicable to show the drug is safe                   type of testing has yet to be clearly
                                             extent of hazard data required to                       under the prescribed, recommended, or                 validated to establish its utility. The
                                             understand potential safety concerns.                   suggested conditions of use. This proof               comment argued that these types of
                                             The comment asserted that data                          shall include, but not be limited to,                 studies need significant further
                                             generation based on an understanding of                 results of significant human experience               development and validation before
                                             human exposure prevents the                             during marketing.                                     considering them a reliable method for
                                             irresponsible use of laboratory animals                    • General recognition of safety shall              systemic absorption studies and further
                                             and waste of resources necessary to                     ordinarily be based upon published                    guidance from FDA is needed. The
                                             generate toxicology data that will not                  studies, which may be corroborated by                 comment said that FDA should also
                                             further inform potential safety                         unpublished studies and other data.                   consider the use of existing modeling
                                             decisions.                                                 As FDA explained in its presentation,              methods as a means to assess potential
                                                The comment also contended that the                  the proposed safety studies are                       systemic exposure to avoid unnecessary
                                             safety data gaps cited by FDA for the                   necessary to provide data that are                    clinical testing of active ingredients
                                             ingredients in the 2015 Health Care                     needed to support a GRAS                              where modeling is available in
                                             Antiseptic PR (human                                    determination for the health care                     conjunction with animal data.
                                             pharmacokinetics, animal                                antiseptic active ingredients. The NDAC                  (Response 22) The MUsT paradigm
                                             pharmacokinetics, carcinogenicity,                      unanimously agreed that the safety                    has been used in the evaluation of
                                             reproductive toxicity, potential                        standards proposed by FDA are                         topical dermatological agents approved
                                             hormonal effects, and potential                         appropriate to support a GRAS                         in the United States since the early
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                                             antimicrobial resistance) do not all have               determination for a health care                       1990s. It represents over 20 years of
                                             to be filled in order for FDA to make a                 antiseptic active ingredient. The NDAC                interactions with multi-national drug
                                             GRAS determination. In support of its                   also noted that the safety standards                  companies, during which time the study
                                             position, the comment cited FDA’s                       presented by FDA are reasonable                       design has been refined into its current
                                             presentation to the September 2014                      minimal safety standards for the                      state. Moreover, the MUsT is a
                                             NDAC meeting, and listed FDA’s stated                   currently available antiseptics, as well              published methodology that has been


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                                                          Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations                                          60493

                                             presented at both national and                          animal testing unless the following                   operating rooms) can be expected to
                                             international meetings. In addition, with               conditions are met:                                   have different patterns of use.
                                             respect to the six deferred active                         • Use of conservative approaches to                   The comment also argued that
                                             ingredients, FDA has been reviewing the                 calculate the margin of exposure is                   limitations exist in the practical conduct
                                             MUsT protocol designs submitted by the                  inadequate.                                           of a MUsT that influence and dictate
                                             manufacturers and trade organizations                      • The margin of exposure justifies the             what may be achieved by a specific
                                             that have requested deferrals.                          need for more data, but it is not possible            protocol. The comment stated that
                                                FDA also understands and recognizes                  to generate the data by non-animal                    practical requirements, for instance, the
                                             the potential of pharmacokinetic (PK)                   approaches, such as using                             time needed to collect biological
                                             and physiologically-based                               physiologically-based pharmacokinetic                 samples, or even to perform washing or
                                             pharmacokinetic (PBPK) modeling. FDA                    modeling, or through animal alternative               application of the product, will dictate
                                             has considered these options and                        test methods.                                         how many washes or applications are
                                             concluded that the currently proposed                      • There is perceived need for all                  possible in a given time period
                                             alternatives, including in silico, in vitro,            active ingredients to have the same type              regardless of what may be deemed
                                             and PBPK modeling, are not adequately                   of information.                                       desirable or required to evaluate
                                             validated to be a substitute for the                       (Response 23) Calculating the margin               perceived or empirical usage. As a
                                             MUsT described in the 2015 Health Care                  of exposure was one of the topics                     result, the comment argued, the MUsT
                                             Antiseptic PR. We also note that, going                 discussed at the September 2014 NDAC                  conditions described in the 2015 Health
                                             forward, in order to validate the PBPK                  meeting (Refs. 4 and 19). At that time,               Care Antiseptic PR will result in assays
                                             or any other alternative modeling-based                 the consensus reached was that these                  that are very large and complex, and
                                             approach, one would need, as part of                    types of calculations are more informed               there is very little precedent to consult
                                             their validation, a direct performance                  when taking the results of the MUsT-                  in the published literature. The
                                             comparison to a series of in vivo MUsTs                                                                       comment also argued that the practical
                                                                                                     acquired data and using that
                                             as part of the process to demonstrate the                                                                     aspects of conducting a MUsT dictate
                                                                                                     information along with the
                                             comparability and reproducibility of the                                                                      what can reasonably be performed in
                                                                                                     pharmacology/toxicology results in the
                                             results between the tests. For these                                                                          terms of number of product
                                                                                                     calculation of the safety margin. We also
                                             reasons, we find that results from a                                                                          applications, number of subjects, study
                                                                                                     note that the references the comments
                                             human PK MUsT are needed to support                                                                           arms, and timing. The comment asserted
                                                                                                     provided for the risk assessment
                                             a GRAS determination for active                                                                               that if the defined, or desired, maximal
                                                                                                     strategies that are followed by other
                                             ingredients used in health care                                                                               use is not achievable in a MUsT and the
                                                                                                     international agencies are for cosmetic
                                             antiseptic products.                                                                                          resulting data do not meet the needs of
                                                (Comment 23) Another comment                         ingredients rather than for drug
                                                                                                                                                           the safety and risk assessment process,
                                             disagreed with FDA’s position that the                  products. Accordingly, the referenced                 it is reasonable to question the utility,
                                             lack of pharmacokinetic data prevents                   guidance may be designed to address                   and expense, of conducting the study at
                                             FDA from calculating a margin of                        different concerns than those at issue                all.
                                             exposure for the risk assessment. The                   here.                                                    (Response 24) The MUsT intends to
                                             comment asserted that, although the                        (Comment 24) Another comment                       reflect the upper end of use expected in
                                             safety evaluation of drugs may rely on                  stated that FDA should reconsider the                 the real-world. Because the MUsT is
                                             correlating findings from animal toxicity               concept of the MUsT and its value in                  designed to represent, as closely as
                                             studies to humans based on kinetic                      determining the safety of health care                 possible, the maximal use of the health
                                             information in both species, safety                     antiseptic products. The comment said                 care antiseptic product under actual use
                                             evaluations for antiseptic ingredients in               that the 2015 Health Care Antiseptic PR               conditions in the health care setting, the
                                             health care products are not based on                   would require a MUsT to characterize                  conduct of the trial itself should be
                                             kinetic information under standard                      maximum systemic exposure following                   feasible. The goal of the MUsT is to
                                             international practice. Instead, the                    health care antiseptic product use                    evaluate absorption under conditions of
                                             comment argued, safety evaluations are                  during the course of a work day or shift              maximum use, so lower rates of
                                             based on conservative assumptions of                    in health care settings. The comment                  application, different sites, and different
                                             exposure and potential differences                      stated that measured levels determined                frequency of application will be
                                             between species, and kinetic                            by the MUsT would establish the                       covered. As we also mentioned, with
                                             information is only required when use                   maximum systemic dose for the active                  respect to the six deferred active
                                             of these conservative assumptions fails                 ingredient in the particular                          ingredients, FDA is reviewing protocol
                                             to provide a sufficient margin of                       antimicrobial product type, and the                   designs for the respective deferred
                                             exposure. The comment stated that                       representativeness of the measured                    active ingredients.
                                             using these conservative and                            systemic active concentration would be                   (Comment 25) Another comment
                                             internationally accepted approaches,                    dependent upon a number of variables                  stated that, while data on the level of
                                             other scientific bodies and regulatory                  associated with this trial, including the             active ingredient in systemic circulation
                                             authorities have been able to complete                  number of applications made per day or                is arguably important for risk and safety
                                             the risk assessment for these types of                  shift, the appropriate usage of the                   assessment, it is not clear what any
                                             ingredients in formulations with much                   product, the concentration of active                  observed levels from MUsT may mean
                                             greater levels of human exposure than                   ingredient in the tested product, the                 in this context in regards to risk and
                                             these health care antiseptic uses. The                  sensitivity of the analytical method                  safety assessment. The comment argued
                                             European Commission Scientific                          applied, and the extent to which the                  that FDA has provided little guidance
                                                                                                     experimental protocol matches or                      on how the MUsT data are used and that
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                                             Committee on Consumer Safety
                                             Guidance for the Testing of Cosmetic                    approximates the actual usage of the                  FDA has provided no data to indicate
                                             Substances and Their Safety Evaluation                  product in the health care setting. The               that there are any safety issues
                                             (8th Revision) was cited as a                           comment asserted that the use of the                  associated with any of the six active
                                             justification for this concept. Based on                same product in different health care                 ingredients identified in the comment
                                             this reasoning, the comment asserted                    settings (e.g., out-patient clinics or                (alcohol, isopropyl alcohol,
                                             that FDA should not require additional                  offices vs. emergency rooms or                        benzalkonium chloride, benzethonium


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                                             60494        Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations

                                             chloride, povidone-iodine, and                             (Response 26) As was mentioned                     route of exposure when a
                                             chloroxylenol). The comment also                        earlier, FDA is discussing the design                 carcinogenicity study by the oral route
                                             asserted that, while the MUsTs will                     and conduct of their MUsT program of                  exists because it is highly unlikely that
                                             provide information on active                           studies for the six deferred active                   systemic exposure would be higher from
                                             ingredient levels in systemic                           ingredients.                                          the dermal route of exposure than that
                                             circulation, it fundamentally remains a                    (Comment 27) One comment                           resulting from the oral route of
                                             pharmacokinetic study. As such, the                     submitted in response to the 2015                     exposure. One comment requested that
                                             comment argued, it is not apparent that                 Health Care Antiseptic PR stated its                  FDA focus on the ‘‘health effects to be
                                             results from a MUsT will provide data                   support for an industry comment                       addressed in the safety assessment’’
                                             that could not be better determined by                  submitted to the September 2014 NDAC                  rather than establishing ‘‘studies to be
                                             an alternative or otherwise validated                   meeting, which stated that the FDA                    performed.’’ Another comment stated
                                             and accepted approach.                                  proposed a safety testing program for                 that if inhalation carcinogenicity data
                                                (Response 25) We disagree with the                   OTC products similar to those required                are available, that such data may be
                                             comment’s assertion that the Agency                     for new molecular entity or new                       used for worst-case exposure scenarios.
                                             has not provided any data to indicate                   chemical entity (NCE) review. The                        (Response 28) The FDA is requesting
                                             that there are safety issues associated                 submission asserted that the active                   dermal carcinogenicity assessment for
                                             with the six active ingredients identified              ingredients under the 1994 TFM are not                these topically applied ingredients
                                             in the comment, which are the six active                NCEs and should not be subjected to                   because the dose that the skin is
                                             ingredients we have deferred from this                  requirements that surpass the                         exposed to following topical exposure
                                             rulemaking. Based on known available                    requirements of a conventional NDA.                   can be much higher than the skin dose
                                             data, including data submitted by the                   The submission stated that, in FDA’s                  resulting from systemic exposure (81 FR
                                             interested parties, FDA identified and                  proposal for the consumer antiseptic                  61106 at 61123). FDA does not consider
                                             summarized safety concerns and safety                   wash TFM, the unsubstantiated                         in vitro genetic toxicology studies to be
                                             data gaps for the health care active                    justification for additional safety data is           a substitute for in vivo carcinogenicity
                                             ingredients at the September 2014                       stated as ‘‘new information regarding                 studies. In addition, systemic exposure
                                             NDAC meeting (Refs. 4 and 21) and in                    the potential risks from systemic                     to the parent drug and metabolites can
                                             the 2015 Health Care antiseptic PR (80                  absorption and long-term exposure to                  differ significantly in topically applied
                                             FR 25166 at 25179 to 25195).                            antiseptic active ingredients’’ and the               products, compared to orally
                                                                                                     fact that exposure may be ‘‘higher than               administered products because the skin
                                                Moreover, the MUsT approach was
                                                                                                     previously thought,’’ which, the                      has its own metabolic capability (81 FR
                                             specifically discussed at the September
                                                                                                     submission argued, is not supported by                61106 at 61123). Furthermore, the first-
                                             2014 NDAC meeting (Refs. 4, 19, and
                                                                                                     information in the 2013 Consumer                      pass metabolism, which is available
                                             21). Information on systemic exposure
                                                                                                     Antiseptic Wash PR or in the docket.                  following oral exposure, is bypassed in
                                             derived from the MUsTs is necessary to                     (Response 27) The assertion that the               the topical route of administration (81
                                             determine a safety margin for the active                standards being proposed ‘‘surpass the                FR 61106 at 61123) (Ref. 22). Dermal
                                             ingredients. A margin of safety is a                    requirements of a conventional NDA’’ is               carcinogenicity studies, therefore, are
                                             calculation that takes the no observed                  incorrect. As an example, the MUsT has                not used solely to assess the effect of a
                                             adverse effect level (NOAEL) derived                    been required of topical NDA products                 drug on the skin tissue, but rather to
                                             from animal data and estimates a                        approved since the early 1990s. Also, a               evaluate the effect of topical exposure to
                                             maximum safe level of exposure for                      MUsT is often necessary to assess                     all tissues of the treated animals.
                                             humans, the data for which would be                     absorption when a topical NDA product
                                             derived from data generated in the                      is reformulated. Whereas, for the health              4. Hormonal Effects
                                             MUsT. In its objection to the proposed                  care antiseptic products under                           (Comment 29) One comment agreed
                                             MUsT requirements, the comment did                      consideration in this rulemaking, once                with the Agency that any toxicological
                                             not provide an alternative or other                     an active ingredient is determined to be              risk assessment should consider
                                             validated and accepted approach                         GRASE for a particular indication,                    whether, under conditions of use, an
                                             available to assess human systemic                      although in vitro testing would be                    ingredient could cause adverse effects as
                                             exposure to the active ingredients (Refs.               required under the current framework,                 a result of its ability to interfere with
                                             4 and 21).                                              no further in vivo studies, including a               endocrine homeostasis. The comment
                                                (Comment 26) Another comment                         MUsT, would be required unless in                     also agreed with the Agency’s statement
                                             stated that if MUsTs are to be executed,                vitro testing suggests that substantially             that general and reproductive toxicology
                                             field studies of health care facility                   greater absorption may occur with a                   studies are generally adequate to
                                             application frequency would be                          particular formulation.                               identify potential hormonal effects. The
                                             necessary to determine maximum rates                                                                          comment urged FDA to take a flexible
                                             as adequate data do not currently exist.                3. Carcinogenicity Studies                            approach to measuring hormonal
                                             The comment asserted that while these                      (Comment 28) Several comments                      effects, and stated that any potential for
                                             studies could take the form of a direct                 asked FDA to reconsider the                           hormonal effects can be addressed by
                                             observational study, other avenues may                  requirements for carcinogenicity                      the interpretation of repeat-dose or
                                             also be considered, such as the use of                  studies, asserting that a good quality                developmental and reproductive
                                             automated hand hygiene monitoring                       systemic carcinogenicity data set exists,             toxicity testing (DART) data.
                                             data. The comment also stated that this                 along with in vitro genetic toxicology                Specifically, the comment stated that
                                             data acquisition approach is not subject                studies, for the majority of the active               FDA should emphasize that a repeat-
                                             to behavioral modification interferences                ingredients. The comments stated that it
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                                                                                                                                                           dose DART study will provide the point
                                             by the observer, or hospital department                 is unclear why FDA is requesting                      of departure (e.g., NOAEL, Benchmark
                                             access restrictions, such as the intensive              additional carcinogenicity studies for                Dose Lower Bound of 10) for an
                                             care and surgery units. The comment                     these ingredients. The comments also                  ingredient that acts by an endocrine
                                             asserted that this technology has                       asserted that FDA should justify the                  mode of action.
                                             recently progressed substantially in its                requirement for additional                               (Response 29) We agree that data for
                                             sophistication and data reliability.                    carcinogenicity studies by the dermal                 hormonal effects can be gleaned from


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                                                          Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations                                          60495

                                             previously conducted studies (chronic                   comment stated that, while some in                    observations made in the laboratory
                                             toxicity, DART, and multigenerational                   vitro lab studies have been successful in             setting are not necessarily replicated in
                                             studies). As stated in the 2015 Health                  forcing expression of resistance in some              the real world setting. Therefore, we
                                             Care Antiseptic PR, data obtained from                  bacteria to antiseptic active ingredients,            assessed additional studies performed
                                             general nonclinical toxicity studies and                real world data from community studies                in the clinical setting.
                                             reproductive/developmental studies,                     using actual product formulations show                  Studies performed using clinical
                                             such as the repeat-dose toxicity, DART                  no correlation between the use of such                isolates found strong evidence of
                                             and carcinogenicity, are generally                      products and antibiotic resistance. The               antiseptic resistance to benzethonium
                                             sufficient to identify potential hormonal               comment stated that further evidence of               and benzalkonium chloride (Refs. 42,
                                             effects in the developing offspring. We                 real world data showing no                            43, 44, 45, 46, 47, 48, 49, and 50).
                                             also stated that, if no signals are                     antimicrobial resistance development                  Antiseptic resistance genes qacA/B (Ref.
                                             obtained from these studies, assuming                   after the continued use of consumer                   47) and qacE (Ref. 47) were identified
                                             the studies covered all the life stages                 products containing antimicrobial active              and in 83 percent and 73 percent of the
                                             (i.e., pregnancy, infancy, adolescence),                compounds can be extracted from oral                  isolates tested, respectively, correlated
                                             then no further assessment of drug-                     care clinical studies, which provide in               with reduced susceptibility to
                                             induced hormonal effects are needed                     vivo data, under well-controlled                      benzalkonium and benzethonium
                                             (80 FR 25166 at 25182 to 25183).                        conditions, on exposure to                            chloride. In contrast, two studies
                                             However, if a positive response is seen                 antimicrobial-containing formulations                 published by Kawamura-Sato et al.
                                             in any of these animal studies that                     over prolonged periods of time (e.g., 6               (Refs. 51 and 52) found the MIC of
                                             requires further investigation, additional              months to 5 years). Another comment                   benzalkonium chloride for 283 clinical
                                             studies, such as mechanistic studies,                   cited the conclusions of an International             isolates to be well within in-use
                                             may be needed (Refs. 23, 24, and 25). In                Conference on Antimicrobial Research                  concentration.
                                             terms of the methodology used for the                   held in 2012 on a possible connection                   Only one clinical study could be
                                             risk assessment of drug products, FDA                   between biocide (antiseptic or                        found assessing resistance to
                                             does not follow the theoretical point of                disinfectant) resistance and antibiotic               chloroxylenol. Khor et al. (Ref. 53)
                                             departure approach for assessing                        resistance to support the point that there            collected samples from disinfectant
                                             toxicological endpoints such as                         is no correlation between antiseptic use              solutions in hospitals. Of the
                                             endocrine activity for drug products.                   and antibiotic resistance.                            chloroxylenol solutions tested, 42
                                             Rather, FDA relies on the traditional                      (Response 30) As stated in the 2015                percent had bacterial contamination.
                                             NOAEL to identify a dose-response                       Health Care Antiseptic PR, we continue                Isolation of these bacteria demonstrated
                                             relationship in conducting its risk                     to believe that the development of                    that 81 percent were resistant to
                                             assessment (Refs. 26 and 27).                           bacteria that are resistant to antibiotics            chloroxylenol, suggesting that these
                                                                                                     is an important public health issue, and              organisms have adapted to survival at
                                             5. Resistance                                           additional data may tell us whether use               concentrations which are usually
                                                (Comment 30) Numerous comments                       of antiseptics in health care settings may            bactericidal. Clinical studies assessing
                                             on the issue of bacterial resistance were               contribute to the selection of bacteria               bacterial resistance to povidone-iodine
                                             submitted in response to the 2015                       that are less susceptible to both                     were primarily negative (Refs. 38, 39,
                                             Health Care Antiseptic PR. In general,                  antiseptics and antibiotics (80 FR 25166              40, 41, 42, 43, 44, 45, 46, 47, 48, 49, 54,
                                             the comments disagreed on whether                       at 25183). Thus, we have conducted                    55, 56, 57, 58, 59, 60, 61, 62, 63, and
                                             antiseptics pose a public health risk                   ingredient-specific reviews of the                    64). Only one study, by Mycock et al.
                                             from bacterial resistance. Some                         literature pertaining to antiseptic                   (Ref. 65), demonstrated resistance to
                                             comments argued that the pervasive use                  resistance and antibiotic cross-                      povidone-iodine using clinical isolates,
                                             of health care antiseptics poses an                     resistance, and determined that                       yet this study could not be repeated
                                             unacceptable risk for the development                   additional studies to assess the                      (Ref. 66). We believe that there is
                                             of resistance and that such products                    development of cross-resistance to                    sufficient information to determine that
                                             should be banned. Other comments                        antibiotics are needed for three of the               exposure to povidone-iodine does not
                                             argued that antiseptics do not pose such                deferred active ingredients—                          lead to the development of bacterial
                                             risks and criticized the data on which                  benzalkonium chloride, benzethonium                   resistance, but additional data is
                                             they believe FDA based its concerns.                    chloride, and chloroxylenol. In the case              necessary to assess this issue with
                                                Specifically, several comments                       of ethyl alcohol and isopropyl alcohol,               regards to chloroxylenol.
                                             dismissed the in vitro data cited by FDA                sufficient data has been provided to                    Other studies examined a possible
                                             in the 2015 Health Care Antiseptic PR                   assess the risk of antiseptic resistance              correlation between antiseptic and
                                             as not reflecting real-life conditions. The             and antibiotic cross-resistance.                      antibiotic resistance (Refs. 38, 39, 40,
                                             comments recommended that the most                         Laboratory studies have identified                 41, 42, 43, 44, 45, 46, 47, 48, 49, 52, 53,
                                             useful assessment of the risk of biocide                and characterized bacterial resistance                54, 55, 67, 68, 69, 70, 71, and 72).
                                             resistance and cross-resistance to                      mechanisms that confer a reduced                      Comparisons suggest that alterations in
                                             antibiotics are in situ studies, studies of             susceptibility to antiseptics and, in                 the mean susceptibility of
                                             clinical and environmental strains, or                  some cases, antibiotics. Specifically,                Staphylococcus aureus to antimicrobial
                                             biomonitoring studies. Some comments                    these data suggest that resistance                    biocides occurred between 1989 and
                                             asserted that studies of this type have                 development in the laboratory is very                 2000, but these changes were mirrored
                                             reinforced the evidence that resistance                 common for some active ingredients,                   in both methicillin resistant and
                                             and cross-resistance associated with                    such as benzethonium and                              susceptible Staphylococcus aureus,
                                             antiseptics is a laboratory phenomenon                                                                        suggesting that methicillin resistance
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                                                                                                     benzalkonium chloride (Refs. 28, 29, 30,
                                             observed only when tests are conducted                  31, and 32), and chloroxylenol (Refs. 33,             has little to do with these changes (Ref.
                                             under unrealistic conditions. One                       34, 35, 36, 37, and 38). In contrast,                 72). In Staphylococcus aureus,
                                             comment stated that there is little                     resistance to other active ingredients,               Escherichia coli, and Pseudomonas
                                             credible evidence that antiseptic                       such as povidone-iodine (Refs. 39, 40,                aeruginosa, several correlations (both
                                             products play any role in antibiotic                    and 41) occurs infrequently in the                    positive and negative) between
                                             resistance in human disease. The                        laboratory setting. We acknowledge that               antibiotics and antimicrobial biocides


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                                             60496        Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations

                                             were found (Refs. 52, 54, 56, 67, 70, and               resistance be addressed first through in              specific literature review related to
                                             72). From the analyses of these clinical                vitro MIC determinations. The comment                 antiseptic resistance and antibiotic
                                             isolates, it is very difficult to support a             stated that, if an organism is shown to               cross-resistance to assess the active
                                             hypothesis that increased biocide                       develop resistance rapidly, FDA should                ingredient’s effect on development of
                                             resistance is a cause of increased                      consider this information in its                      cross-resistance to antiseptics and
                                             antibiotic resistance in these species.                 evaluation. The commenter believed                    antibiotics in the health care setting,
                                                In general, studies have not clearly                 that this test of the potential for the               and to submit as much information and
                                             demonstrated an impact of antiseptic                    development of resistance is important                data as can be provided. If the literature
                                             bacterial resistance mechanisms in the                  because health care compliance with                   review results show evidence of
                                             clinical setting. However, the available                recommended use of health care                        antiseptic or antibiotic resistance,
                                             studies have limitations. As we noted in                antiseptic wash products is variable and              additional studies may be necessary,
                                             the 2015 Health Care Antiseptic PR,                     products that result in the rapid                     consistent with the recommendations
                                             studies in a clinical setting that we                   development of antimicrobial resistance               outlined in the 2015 Health Care
                                             evaluated were limited by the small                     would pose a public health risk. The                  Antiseptic PR (80 FR 25166 at 25183 to
                                             numbers and types of organisms, the                     comment also asserted that GRAS/GRAE                  25184), to help assess the impact of the
                                             brief time periods, and the locations                   ingredients should pose little in the way             active ingredient on antiseptic and
                                             examined. Bacteria expressing                           of a resistance risk.                                 antibiotic susceptibilities. If, however,
                                             resistance mechanisms with a decreased                     (Response 31) In the 2015 Health Care              the literature review provides no
                                             susceptibility to antiseptics and some                  Antiseptic PR, we described the data                  evidence that the active ingredient
                                             antibiotics have been isolated from a                   needed to help establish a better                     affects antiseptic or antibiotic
                                             variety of natural settings (Refs. 73 and               understanding of the interactions                     susceptibility, then it is likely that no
                                             74). Although the prevalence of                         between antiseptic active ingredients in              further studies to address development
                                             antiseptic tolerant subpopulations in                   health care antiseptic products and                   of resistance will be needed to support
                                             natural microbial populations is                        bacterial resistance mechanisms and the               a GRAS determination.
                                             currently low, overuse of antiseptic                    data needed to provide the information
                                             active ingredients has the potential to                 necessary to perform an adequate risk                 6. Other Safety Issues
                                             select for resistant microorganisms.                    assessment for these health care product                 (Comment 32) One comment also
                                                In sum, adequate data do not exist                   uses. We suggested a tiered approach as               stated that FDA’s evaluation of risks
                                             currently to determine whether the                      an efficient means of developing data to              associated with the extensive use of
                                             development of bacterial antiseptic                     address this resistance issue—beginning               health care antiseptic soaps by health
                                             resistance could also select for antibiotic             with laboratory studies aimed at                      care workers should include the data
                                             resistant bacteria or how significant this              evaluating the impact of exposure to                  from the Nurses’ Health Studies (NHS),
                                             selective pressure would be relative to                 nonlethal amounts of antiseptic active                which are a series of long-term studies
                                             the overuse of antibiotics, an important                ingredients on antiseptic and antibiotic              of health outcomes in several large
                                             driver for antibiotic resistance.                       bacterial susceptibilities, along with                cohorts of nurses. The comment
                                             Moreover, the possible correlation                      additional data, if necessary, to help                asserted that these studies did not show
                                             between antiseptic and antibiotic                       assess the likelihood that changes in                 any evidence that the use of topical
                                             resistance is not the only concern.                     susceptibility observed in the                        health care antiseptics leads to adverse
                                             Reduced antiseptic susceptibility may                   preliminary studies would occur in the                health outcomes in nurses. The
                                             allow the persistence of organisms in                   health care setting (80 FR 25166 at                   comment concedes that the studies were
                                             the presence of low-level residues and                  25183 to 25184).                                      not designed to evaluate risks associated
                                             contribute to the survival of antibiotic                   As we explained in the 2015 Health                 with the use of antiseptic soaps, but still
                                             resistant organisms. Data are not                       Care Antiseptic PR, we recognize that                 believes these studies are adequate to
                                             currently available to assess the                       the science of evaluating the potential of            detect clinically-relevant health
                                             magnitude of this risk.                                 compounds to cause bacterial resistance               outcomes, including those associated
                                                (Comment 31) The comments also                       is evolving and acknowledged the                      with endocrine effects, that might arise
                                             disagreed on the data needed to assess                  possibility that alternative data may be              from the use of antiseptic soaps.
                                             the risk of the development of                          identified as an appropriate substitute                  The comment also noted that the
                                             resistance. One comment disagreed with                  for evaluating resistance (80 FR 25166 at             FDA’s Safety Information and Adverse
                                             the proposed testing described in the                   25180). We also explained that we are                 Event Reporting Program, MedWatch,
                                             2015 Health Care Antiseptic PR, arguing                 aware that there are no standard                      did not have any safety-related reports
                                             that there are no standard laboratory                   protocols for these studies, but there are            on the health care antiseptic products
                                             methods for evaluating the development                  numerous publications in the literature               identified in the 2015 Health Care
                                             of antimicrobial resistance. With regard                of studies of this type that could provide            Antiseptic PR. In addition, the comment
                                             to the recommendation for mechanism                     guidance on the study design (Refs. 75,               stated that FDA has not issued any
                                             studies, they believed that it is unlikely              76, and 77).                                          safety alerts related to antiseptic skin
                                             that this kind of information can be                       As explained in this document, we                  products.
                                             developed for all active ingredients,                   have deferred from this rulemaking six                   (Response 32) FDA searched the NHS
                                             particularly given that the mechanism(s)                of the active ingredients used in health              website cited in the comment,
                                             of action may be concentration                          care antiseptic products, and we are                  www.channing.harvard.edu/nhs/, and
                                             dependent and combination/                              discussing proposed protocols for the                 there did not appear to be any studies
                                             formulation effects may be highly                       safety and effectiveness studies (Refs.               listed that specifically evaluated the
                                                                                                     10, 11, 12, 13, 14, and 15). For those                health outcomes of nurses after using
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                                             relevant. The comments also believed
                                             that data characterizing the potential for              active ingredients for which resistance               health care antiseptics. As the comment
                                             transferring a resistance determinant to                testing is required—chloroxylenol,                    noted, the NHS studies were not
                                             other bacteria is also an unrealistic                   benzethonium chloride, and                            designed to evaluate risks associated
                                             requirement for a GRAS determination.                   benzalkonium chloride—we have                         with the use of antiseptic soaps. In
                                                Conversely, one comment                              advised manufacturers, as an initial                  addition, in order to effectively evaluate
                                             recommended that antimicrobial                          step, to conduct an active ingredient-                the safety of an active ingredient or


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                                                          Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations                                         60497

                                             drug, FDA uses data in which a control                     (Response 33) We agree that the                    investigators. FDA is willing to review
                                             group is included in the study to                       impact of exposure to sensitive                       all relevant available data in order to
                                             compare to the treatment groups. A                      populations should be considered. Our                 reach a final determination of safety and
                                             prospective NHS study evaluating the                    paradigm of safety evaluation, which                  effectiveness. Ultimately, manufacturers
                                             effect of exposure to the active                        includes a battery of safety studies                  are responsible for the safety and
                                             ingredients in health care antiseptics                  (ADME, MUsT, carcinogenicity, DART,                   effectiveness of the drug products they
                                             would require a control group in which                  and hormonal effects), can be used to                 market.
                                             there is no exposure to health care                     establish a safety margin for potential                  (Comment 36) One comment
                                             antiseptic active ingredients. However,                 safety signals in all populations,                    contended that NDA products, such as
                                             because all nurses in health care                       including sensitive ones.                             Avagard (1 percent chlorhexidine
                                             environments in which NHS studies                          Currently, the effect of health care               gluconate, 62 percent ethyl alcohol)
                                             have been conducted have to adhere to                   antiseptic active ingredients on the                  should be subject to the safety standards
                                             a universal hand washing protocol using                 microbiome have not been included as                  proposed in the 2015 Health Care
                                             antiseptic active ingredients, it is not                a safety signal in classifying an active              Antiseptic PR.
                                             possible to include a control group with                ingredient as GRAS or non-GRAS. FDA                      (Response 36) FDA regulates NDA
                                             no exposure to healthcare antiseptics in                will continue to monitor emerging                     products under a different regulatory
                                             a NHS study.                                            technologies that can help address                    pathway than the OTC drug monograph
                                                We also note that the safety signals                 safety signals for all of the products that           products, such as the OTC health care
                                             FDA uses in making a GRAS                               it regulates, including products under                antiseptics that are the subject of this
                                             determination, such as developmental                    the OTC topical antiseptic monograph.                 rulemaking. We consider safety criteria
                                             and reproductive toxicity,                                 In addition, because there are many                for both monograph and NDA products.
                                             carcinogenicity, or hormonal effects,                   disease states which health care                      The review of an individual product
                                             would not likely be reported by                         professionals or patients could have, it              under an NDA may warrant a different
                                             consumers or health care professionals                  is not feasible to develop metabolic                  assessment than a group of active
                                             to MedWatch. Thus, the lack of                          parameters for individual disease states              ingredients used in a range of products.
                                             MedWatch safety-related reports does                    in conducting the GRAS determinations
                                                                                                                                                           F. Comments on the Preliminary
                                                                                                     of the active ingredients used in health
                                             not eliminate the need for the safety                                                                         Regulatory Impact Analysis and FDA
                                                                                                     care antiseptic products. Nor could one
                                             data outlined in the 2015 Health Care                                                                         Response
                                                                                                     prospectively identify which specific
                                             Antiseptic PR.                                                                                                  (Comment 37) Several comments
                                                                                                     metabolic parameters should be tracked,
                                                (Comment 33) One comment stated                                                                            raised issues concerning the preliminary
                                                                                                     or if there were defined levels of
                                             that, for FDA to fully assess the safety                changes in each parameter that would                  regulatory impact analysis and the
                                             of the health care topical antiseptic                   be of concern.                                        Agency’s assessment of the net benefit
                                             active ingredients, it must consider the                   (Comment 34) Another comment                       of the rulemaking.
                                             impact of exposure on groups that may                   stated that FDA needs to address the                    (Response 37) Our response is
                                             be particularly sensitive to exposure,                  impact of inactive ingredients and final              provided in the full discussion of
                                             including pregnant women, children,                     formulations on the safety assessments                economic impacts, available in the
                                             and the elderly, particularly with                      of health care antiseptic products.                   docket for this rulemaking (Docket No.
                                             regards to chronic or highly sensitive                     (Response 34) Testing requirements                 FDA–2015–N–0101, (Ref. 78), https://
                                             (e.g., newborn infant) exposure.                        for the final product formulations,                   www.regulations.gov) and at https://
                                                The comment also proposed that in                    which would require exposure to both                  www.fda.gov/AboutFDA/
                                             classifying an ingredient as GRAS/                      active and inactive ingredients, are not              ReportsManualsForms/Reports/
                                             GRAE, FDA should expand the health                      addressed in this final rule because                  EconomicAnalyses/default.htm.
                                             impacts (e.g., impact on the                            none of the active ingredients that are               VI. Ingredients Not Generally
                                             microbiome) and should consider                         the subject of this final rule are                    Recognized as Safe and Effective
                                             ‘‘clinically-relevant’’ effectiveness (e.g.,            considered GRAS/GRAE for use in
                                             reduction of bacteria typically found in                health care antiseptic products, given                  No additional safety or effectiveness
                                             health care settings). The comment                      the lack of sufficient effectiveness and              data have been submitted to support a
                                             added that the final rule should                        safety data submitted for these                       GRAS/GRAE determination for the non-
                                             incorporate safety standards to protect                 ingredients. The testing requirements                 deferred health care antiseptic active
                                             populations, outside of health care                     for final formulations of products                    ingredients described in this rule. Thus,
                                             personnel, that could experience                        containing the six deferred active                    the following active ingredients are not
                                             increased adverse events upon exposure                  ingredients will be addressed, if                     GRAS/GRAE for use as a health care
                                             to antiseptic products. The comment                     applicable, after a decision is made                  antiseptic:
                                             contended that the effect of antiseptic                 regarding the monograph status of those               • Chlorhexidine gluconate
                                             active ingredients on the microbiome                    ingredients.                                          • Cloflucarban
                                             should be more thoroughly considered                       (Comment 35) One comment                           • Fluorosalan
                                             in the final monograph to incorporate                                                                         • Hexachlorophene
                                                                                                     indicated that the cost of conducting                 • Hexylresorcinol
                                             the effects into the benefit-to-risk                    safety studies is expensive and asserted              • Iodophors (Iodine-containing
                                             calculation.                                            that the testing requirements run                       ingredients)
                                                The comment also asserted that data                  counter to the spirit of the OTC                      Æ Iodine complex (ammonium ether
                                             used in the safety evaluation of these                  monograph. The comment proposed                         sulfate and polyoxyethylene sorbitan
                                             ingredients should include metabolic
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                                                                                                     that the safety studies, should therefore,              monolaurate)
                                             parameters of disease states of                         be conducted by academic and National                 Æ Iodine complex (phosphate ester of
                                             individuals who would be chronically                    Institutes of Health (NIH) investigators.               alkylaryloxy polyethylene glycol)
                                             exposed to health care antiseptics in                      (Response 35) The monograph process                Æ Iodine tincture USP
                                             animal pharmacokinetic absorption,                      is public in nature and studies may be                Æ Iodine topical solution USP
                                             distribution, metabolism, and excretion                 conducted by any interested parties,                  Æ Nonylphenoxypoly (ethyleneoxy)
                                             (ADME) models.                                          including academics and NIH                             ethanoliodine


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                                             60498        Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations

                                             Æ Poloxamer—iodine complex                              and other advantages; distributive                    3). To our knowledge, there is only one
                                             Æ Undecoylium chloride iodine                           impacts; and equity). Executive Order                 ineligible product currently on the
                                               complex                                               13771 requires that the costs associated              market, an alcohol-containing surgical
                                             • Mercufenol chloride                                   with significant new regulations ‘‘shall,             hand scrub, which is affected by this
                                             • Methylbenzethonium chloride                           to the extent permitted by law, be offset             rule.
                                             • Phenol                                                by the elimination of existing costs                     Benefits are quantified as the volume
                                             • Secondary amyltricresols                              associated with at least two prior                    reduction in exposure to triclosan found
                                             • Sodium oxychlorosene                                  regulations.’’ We believe that this final
                                             • Tribromsalan                                                                                                in health care antiseptic products
                                                                                                     rule is a significant regulatory action as            affected by the rule, but these benefits
                                             • Triclocarban
                                                                                                     defined by Executive Order 12866. This                are not monetized. Annual benefits are
                                             • Triclosan
                                             • Triple dye                                            final rule is considered an Executive                 estimated to be a reduction in exposure
                                             • Combination of calomel,                               Order 13771 regulatory action.                        of 88,000 kg of triclosan per year.
                                               oxyquinoline benzoate,                                   The Regulatory Flexibility Act                        Costs are calculated as the one-time
                                               triethanolamine, and phenol                           requires us to analyze regulatory options             costs associated with reformulating
                                               derivative                                            that would minimize any significant                   health care antiseptic products
                                             • Combination of mercufenol chloride                    impact of a rule on small entities.                   containing the active ingredient
                                               and secondary amyltricresols in 50                    Because we estimate that only four                    triclosan and relabeling reformulated
                                               percent alcohol                                       small businesses will be adversely                    products, plus the lost producer surplus
                                               Accordingly, OTC health care                          affected by the final rule, we certify that           (measured as lost revenues) due to
                                             antiseptic drug products containing                     the final rule will not have a significant            removing one alcohol surgical hand
                                             these active ingredients will require                   economic impact on a substantial                      scrub from the market. We believe that
                                             approval under an NDA or ANDA prior                     number of small entities.                             the alcohol-containing surgical hand
                                             to marketing.                                              The Unfunded Mandates Reform Act                   scrub that is affected by this rule is
                                                                                                     of 1995 (Section 202(a)) requires us to               likely to be removed from the market.
                                             VII. Compliance Date                                    prepare a written statement, which                    We categorize the associated loss of
                                                In the 2015 Health Care Antiseptic                   includes an assessment of anticipated                 sales revenue as a transfer from one
                                             PR, we recognized, based on the scope                   costs and benefits, before proposing                  manufacturer to another and not a cost,
                                             of products subject to this final rule,                 ‘‘any rule that includes any Federal                  because we assume that the supply of
                                             that manufacturers would need time to                   mandate that may result in the                        other, highly substitutable, products is
                                             comply with this final rule. Thus, as                   expenditure by State, local, and tribal               highly elastic.
                                             proposed in the 2015 Health Care                        governments, in the aggregate, or by the
                                                                                                                                                              Annualizing the one-time costs over a
                                             Antiseptic PR (80 FR 25166 at 25195),                   private sector, of $100,000,000 or more
                                                                                                                                                           10-year period, we estimate total
                                             this final rule will be effective 1 year                (adjusted annually for inflation) in any
                                                                                                                                                           annualized costs to range from $1.1 to
                                             after the date of the final rule’s                      one year.’’ The current threshold after
                                                                                                                                                           $4.1 million at a 3 percent discount rate,
                                             publication in the Federal Register. On                 adjustment for inflation is $148 million,
                                                                                                                                                           and from $1.2 to $4.7 million at a 7
                                             or after that date, any OTC health care                 using the most current (2016) Implicit
                                                                                                                                                           percent discount rate. The present value
                                             antiseptic drug products containing an                  Price Deflator for the Gross Domestic
                                                                                                                                                           of total costs ranges from $9.0 to $34.6
                                             ingredient that we have found in this                   Product. This final rule would not result
                                                                                                                                                           million at a 3 percent discount rate, and
                                             final rule to be not GRAS/GRAE cannot                   in an expenditure in any year that meets
                                                                                                                                                           from $8.7 to $29.6 million at a 7 percent
                                             be introduced or delivered for                          or exceeds this amount
                                                                                                                                                           discount rate.
                                             introduction into interstate commerce                   B. Summary of Costs and Benefits                         In this final rule, small entities will
                                             unless it is the subject of an approved
                                                                                                        As discussed in the preamble of this               bear costs to the extent that they must
                                             NDA or ANDA.
                                                                                                     final rule, this rule establishes that 24             reformulate and re-label any health care
                                             VIII. Summary of Regulatory Impact                      eligible active ingredients are not                   antiseptic containing triclosan that they
                                             Analysis                                                generally recognized as safe and                      produce. The average cost to small firms
                                                The summary analysis of benefits and                 effective for use in OTC health care                  of implementing the requirements of
                                             costs included in this final rule is drawn              antiseptics. However, data from the FDA               this final rule is estimated to be
                                             from the detailed Regulatory Impact                     drug product registration database                    $213,176 per firm. The costs of the
                                             Analysis that is available at https://                  suggest that only one of these 24                     changes, along with the small number of
                                             www.regulations.gov, Docket No. FDA–                    ingredients is found in OTC health care               firms affected, implies that this burden
                                             2015–N–0101, (Ref. 78).                                 antiseptic products currently marketed                would not be significant, so we certify
                                                                                                     pursuant to the TFM: Triclosan.                       that this final rule will not have a
                                             A. Introduction                                         Regulatory action is being deferred on                significant economic impact on a
                                                We have examined the impacts of the                  six active ingredients that were                      substantial number of small entities.
                                             final rule under Executive Order 12866,                 addressed in the health care antiseptic               This analysis, together with other
                                             Executive Order 13563, Executive Order                  proposed rule: Benzalkonium chloride,                 relevant sections of this document,
                                             13771, the Regulatory Flexibility Act (5                benzethonium chloride, chloroxylenol,                 serves as the Regulatory Flexibility
                                             U.S.C. 601–612), and the Unfunded                       ethyl alcohol, isopropyl alcohol, and                 Analysis, as required under the
                                             Mandates Reform Act of 1995 (Pub. L.                    povidone-iodine. This final rule also                 Regulatory Flexibility Act.
                                             104–4). Executive Orders 12866 and                      addresses the eligibility of three active                We have developed a comprehensive
                                             13563 direct us to assess all costs and                 ingredients—alcohol (ethyl alcohol, see               Economic Analysis of Impacts that
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                                             benefits of available regulatory                        section V.C.3), benzethonium chloride,                assesses the impacts of the final rule.
                                             alternatives and, when regulation is                    and chlorhexidine gluconate—and finds                 The full analysis of economic impacts is
                                             necessary, to select regulatory                         that these three active ingredients are               available in docket FDA–2015–N–0101
                                             approaches that maximize net benefits                   ineligible for evaluation under the OTC               (Ref. 78) and at https://www.fda.gov/
                                             (including potential economic,                          Drug Review for certain health care                   AboutFDA/ReportsManualsForms/
                                             environmental, public health and safety,                antiseptic uses (see section IV.D.1, table            Reports/EconomicAnalyses/default.htm.


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                                                               Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations                                                                                                 60499




                                                                                                        TABLE 5—EXECUTIVE ORDER 13771 SUMMARY TABLE
                                                                                                               [In $ millions 2016 dollars, over an infinite time horizon]

                                                                                                                                                                                               Primary                Lower bound                Upper bound
                                                                                                                                                                                                (7%)                     (7%)                       (7%)

                                             Present value of costs .................................................................................................................                  $17.19                       $8.68                    $29.47
                                             Present Value of Cost Savings ...................................................................................................            ........................   ........................   ........................
                                             Present Value of Net Costs .........................................................................................................                        17.19                        8.68                     29.47
                                             Annualized Costs .........................................................................................................................                    1.20                       0.61                       2.06
                                             Annualized Cost Savings .............................................................................................................        ........................   ........................   ........................
                                             Annualized Net Costs ..................................................................................................................                       1.20                       0.61                       2.06



                                             IX. Paperwork Reduction Act of 1995                                     environmental assessment nor an                                          provision or there is some other clear
                                                                                                                     environmental impact statement is                                        evidence that the Congress intended
                                               This final rule contains no collection
                                             of information. Therefore, clearance by                                 required.                                                                preemption of State law, or where the
                                             OMB under the Paperwork Reduction                                                                                                                exercise of State authority conflicts with
                                                                                                                     XI. Federalism
                                             Act of 1995 is not required.                                                                                                                     the exercise of Federal authority under
                                                                                                                       We have analyzed this final rule in                                    the Federal statute.’’ The sole statutory
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                                             X. Analysis of Environmental Impact                                     accordance with the principles set forth                                 provision giving preemptive effect to the
                                               We have determined under 21 CFR                                       in Executive Order 13132. Section 4(a)                                   final rule is section 751 of the FD&C Act
                                             25.31(a) that this action is of a type that                             of the Executive order requires agencies                                 (21 U.S.C. 379r). We have complied
                                             does not individually or cumulatively                                   to ‘‘construe . . . a Federal statute to                                 with all of the applicable requirements
                                             have a significant effect on the human                                  preempt State law only where the                                         under the Executive order and have
                                                                                                                                                                                                                                                                           ER20DE17.001</GPH>




                                             environment. Therefore, neither an                                      statute contains an express preemption                                   determined that the preemptive effects


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                                             of this rule are consistent with                             1989. Available at http://www.ncbi.                   20170404152730/https://www.fda.gov/
                                             Executive Order 13132.                                       nlm.nih.gov/pubmed/2642372.                           AdvisoryCommittees/Committees
                                                                                                     10. FDA Deferral Letter for Benzalkonium                   MeetingMaterials/Drugs/Nonprescription
                                             XII. References                                              Chloride in Health Care Antiseptics on                DrugsAdvisoryCommittee/
                                                                                                          January 19, 2017. Available at https://               ucm410287.htm.
                                                The following references are on
                                                                                                          www.regulations.gov/document?D=FDA-              22. International Council for Harmonisation
                                             display at the office of the Dockets                         2015-N-0101-1321.                                     of Technical Requirements for
                                             Management Staff (see ADDRESSES) and                    11. FDA Deferral Letter for Benzethonium                   Pharmaceuticals for Human Use,
                                             are available for viewing by interested                      Chloride in Health Care Antiseptics on                Guideline for Industry. The Need for
                                             persons between 9 a.m. and 4 p.m.,                           January 19, 2017. Available at https://               Carcinogenicity Studies of
                                             Monday through Friday; they are also                         www.regulations.gov/document?D=FDA-                   Pharmaceuticals. Available at http://
                                             available electronically at https://                         2015-N-0101-1322.                                     www.fda.gov/downloads/drugs/.../
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                                                  https://www.ncbi.nlm.nih.gov/pubmed/                    141–46, 2011. Available at http://               requirements.
                                                  ?term=8290461.                                          www.ncbi.nlm.nih.gov/pubmed/                       Therefore, under the Federal Food,
                                             61. Gordon, J. and A.R. Mclure, In-Vitro                     21807440.
                                                  Comparison of Bactericidal Activity of             71. Shi, G.S., et al., Prevalence of Antiseptic-      Drug, and Cosmetic Act and under
                                                  Povidone-Iodine and Chlorhexidine                       Resistance Genes in Staphylococci                authority delegated to the Commissioner
                                                  Against Methicillin-Resistant                           Isolated from Orthokeratology Lens and           of Food and Drugs, 21 CFR part 310 is
                                                  Staphylococcus aureus, Surgical                         Spectacle Wearers in Hong Kong,                  amended as follows:
                                                  Research Communications, 5(4): p. 313–                  Investigative Ophthalmology and Visual
                                                  14, 1989. Available at http://www.                      Science, 56(5): p. 3069–74, 2015.                PART 310—NEW DRUGS
                                                  embase.com/search/results?subaction=                    Available at https://www.ncbi.nlm.nih.
                                                  viewrecord&from=export&id=                              gov/pubmed/?term=25788652.                       ■ 1. The authority citation for part 310
                                                  L19121090.                                         72. Lambert, R.J., Comparative Analysis of            continues to read as follows:
                                             62. Barry, A.L., et al., Lack of Effect of                   Antibiotic and Antimicrobial Biocide
                                                                                                                                                             Authority: 21 U.S.C. 321, 331, 351, 352,
                                                  Antibiotic Resistance on Susceptibility                 Susceptibility Data in Clinical Isolates of
                                                                                                                                                           353, 355, 360b–360f, 360j, 360hh–360ss,
                                                  of Microorganisms to Chlorhexidine                      Methicillin-Sensitive Staphylococcus
                                                                                                                                                           361(a), 371, 374, 375, 379e, 379k–l; 42 U.S.C.
                                                  Gluconate or Povidone Iodine, European                  aureus, Methicillin-Resistant
                                                                                                                                                           216, 241, 242(a), 262.
                                                  Journal of Clinical Microbiology and                    Staphylococcus aureus and
                                                  Infectious Diseases, 18(12): p. 920–21,                 Pseudomonas aeruginosa between 1989              ■  2. Amend § 310.545 as follows:
                                                  1999. Available at https://www.ncbi.nlm.                and 2000, Journal of Applied                     ■  a. Add reserved paragraphs (a)(27)(v),
                                                  nih.gov/pubmed/?term=10691210.                          Microbiology, 97(4): p. 699–711, 2004.           (vii), and (ix);
                                             63. Rikimaru, T., et al., Efficacy of Common                 Available at https://www.ncbi.nlm.nih.           ■ b. Add paragraphs (a)(27)(vi), (viii),
                                                  Antiseptics Against Multidrug-Resistant                 gov/pubmed/?term=15357719.                       and (x);
                                                  Mycobacterium tuberculosis,                        73. Morrissey, I., et al., Evaluation of              ■ c. In paragraph (d) introductory text,
                                                  International Journal of Tuberculosis                   Epidemiological Cut-Off Values Indicates         remove ‘‘(d)(41)’’ and in its place add
                                                  and Lung Disease, 6(9): p. 763–70, 2002.                That Biocide Resistant Subpopulations
                                                  Available at https://www.ncbi.nlm.                      Are Uncommon in Natural Isolates of
                                                                                                                                                           ‘‘(42)’’; and
                                                                                                          Clinically-Relevant Microorganisms,              ■ d. Add paragraph (d)(42).
                                                  nih.gov/pubmed/?term=12234131.
                                             64. Sakuragi, T., et al., Bactericidal Activity              PLoS One, 9(1): p. 86669, 2014.                     The additions read as follows:
                                                  of Skin Disinfectants on Methicillin-                   Available at http://www.ncbi.nlm.
                                                                                                                                                           § 310.545 Drug products containing
                                                  Resistant Staphylococcus aureus,                        nih.gov/pubmed/24466194.
                                                                                                                                                           certain active ingredients offered over-the-
                                                  Anesthesia and Analgesia, 81(3): p. 555–           74. Copitch, J.L., et al., Prevalence of
                                                                                                                                                           counter (OTC) for certain uses.
                                                  58, 1995. Available at http://www.ncbi.                 Decreased Susceptibility to Triclosan in
                                                  nlm.nih.gov/pubmed/7653822.                             Salmonella enterica Isolates from                  (a) * * *
                                             65. Sanchez, P., et al., The Biocide Triclosan               Animals and Humans and Association                 (27) * * *
                                                  Selects Stenotrophomonas maltophilia                    with Multiple Drug Resistance,                     (v) [Reserved]
                                                  Mutants That Overproduce the SmeDEF                     International Journal of Antimicrobial             (vi) Health care personnel hand wash
                                                  Multidrug Efflux Pump, Antimicrobial                    Agents, 36(3): p. 247–51, 2010. Available        drug products. Approved as of
                                                  Agents and Chemotherapy, 49(2): p.                      at https://www.ncbi.nlm.nih.gov/                 December 20, 2018.
                                                  781–82, 2005. Available at https://                     pubmed/?term=20541914.
                                                  www.ncbi.nlm.nih.gov/pubmed/?term=                 75. Braoudaki, M. and A.C. Hilton, Adaptive           Cloflucarban
                                                  15673767.                                               Resistance to Biocides in Salmonella             Fluorosalan
                                             66. Payne, D.N., et al., Antiseptics: A                      enterica and Escherichia coli O157 and           Hexachlorophene
                                                  Forgotten Weapon in the Control of                      Cross-Resistance to Antimicrobial                Hexylresorcinol
                                                  Antibiotic Resistant Bacteria in Hospital               Agents, Journal of Clinical Microbiology,        Iodine complex (ammonium ether
                                                  and Community Settings?, Journal of the                 42(1): p. 73–78, 2004. Available at                sulfate and polyoxyethylene sorbitan
                                                  Royal Society of Health, 118(1): p. 18–22,              https://www.ncbi.nlm.nih.gov/pubmed/               monolaurate)
                                                  1998. Available at https://www.ncbi.                    ?term=14715734.                                  Iodine complex (phosphate ester of
                                                  nlm.nih.gov/pubmed/?term=9724934.                  76. Langsrud, S., et al., Cross-Resistance to           alkylaryloxy polyethylene glycol)
                                             67. Oggioni, M.R., et al., Significant                       Antibiotics of Escherichia coli Adapted
                                                                                                                                                           Methylbenzethonium chloride
                                                  Differences Characterize the Correlation                to Benzalkonium Chloride or Exposed to
                                                  Coefficients Between Biocide and                        Stress-Inducers, Journal of Applied
                                                                                                                                                           Nonylphenoxypoly (ethyleneoxy)
                                                  Antibiotic Susceptibility Profiles in                   Microbiology, 96(1): p. 201–08, 2004.              ethanoliodine
                                                  Staphylococcus aureus, Current                          Available at https://                            Phenol
                                                  Pharmaceutical Design, 21(16): p. 2054–                 www.ncbi.nlm.nih.gov/pubmed/                     Poloxamer-iodine complex
                                                  57, 2015. Available at https://www.ncbi.                ?term=14678175.                                  Secondary amyltricresols
                                                  nlm.nih.gov/pubmed/?term=25760337.                 77. Joynson, J.A., et al., Adaptive Resistance        Sodium oxychlorosene
                                             68. Coelho, J.R., et al., The Use of Machine                 to Benzalkonium Chloride, Amikacin               Tribromsalan
                                                  Learning Methodologies to Analyse                       and Tobramycin: The Effect on                    Triclocarban
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                                                  Antibiotic and Biocide Susceptibility in                Susceptibility to Other Antimicrobials,          Triclosan
                                                  Staphylococcus aureus, PLoS One, 8(2):                  Journal of Applied Microbiology, 93(1):          Undecoylium chloride iodine complex
                                                  p. 1, 2013. Available at https://                       p. 96–107, 2002. Available at https://
                                                  www.ncbi.nlm.nih.gov/pubmed/?term=                      www.ncbi.nlm.nih.gov/pubmed/                       (vii) [Reserved]
                                                  23431361.                                               ?term=12067378.                                    (viii) Surgical hand scrub drug
                                             69. Stickler, D.J., et al., Antiseptic and              78. FDA Regulatory Impact Analysis, Safety            products. Approved as of December 20,
                                                  Antibiotic Resistance in Gram-Negative                  and Effectiveness for Health Care                2018.


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                                                          Federal Register / Vol. 82, No. 243 / Wednesday, December 20, 2017 / Rules and Regulations                                              60503

                                             Cloflucarban                                              (x) Patient antiseptic skin preparation             Triclosan
                                             Fluorosalan                                             drug products. Approved as of                         Triple dye
                                             Hexachlorophene                                         December 20, 2018.                                    Undecoylium chloride iodine complex
                                             Hexylresorcinol                                         Cloflucarban
                                             Iodine complex (ammonium ether                                                                                Combination of calomel, oxyquinoline
                                                                                                     Fluorosalan                                             benzoate, triethanolamine, and
                                               sulfate and polyoxyethylene sorbitan                  Hexachlorophene
                                               monolaurate)                                                                                                  phenol derivative
                                                                                                     Hexylresorcinol
                                             Iodine complex (phosphate ester of                      Iodine complex (phosphate ester of                    Combination of mercufenol chloride
                                               alkylaryloxy polyethylene glycol)                       alkylaryloxy polyethylene glycol)                     and secondary amyltricresols in 50
                                             Methylbenzethonium chloride                             Iodine tincture (USP)                                   percent alcohol
                                             Nonylphenoxypoly (ethyleneoxy)                          Iodine topical solution (USP)                         *      *     *    *   *
                                               ethanoliodine                                         Mercufenol chloride                                     (d) * * *
                                             Phenol                                                  Methylbenzethonium chloride                             (42) December 20, 2018, for products
                                             Poloxamer-iodine complex                                Nonylphenoxypoly (ethyleneoxy)                        subject to paragraphs (a)(27)(vi) through
                                             Secondary amyltricresols                                  ethanoliodine                                       (x) of this section.
                                             Sodium oxychlorosene                                    Phenol
                                             Tribromsalan                                                                                                    Dated: December 14, 2017.
                                                                                                     Poloxamer-iodine complex
                                             Triclocarban                                            Secondary amyltricresols                              Leslie Kux,
                                             Triclosan                                               Sodium oxychlorosene                                  Associate Commissioner for Policy.
                                             Undecoylium chloride iodine complex                     Tribromsalan                                          [FR Doc. 2017–27317 Filed 12–19–17; 8:45 am]
                                               (ix) [Reserved]                                       Triclocarban                                          BILLING CODE 4164–01–P
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Document Created: 2018-10-25 10:54:57
Document Modified: 2018-10-25 10:54:57
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 December 20, 2018.
ContactMichelle M. Jackson, Center for Drug Evaluation and Research, Food and Drug Administration, 10903 New Hampshire Ave., Bldg. 22, Rm. 5420, Silver Spring, MD 20993-0002, 301- 796-0923.
FR Citation82 FR 60474 
RIN Number0910-AH40
CFR AssociatedAdministrative Practice and Procedure; Drugs; Labeling; Medical Devices and Reporting and Recordkeeping Requirements

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