83_FR_11870 83 FR 11818 - Tobacco Product Standard for Nicotine Level of Combusted Cigarettes

83 FR 11818 - Tobacco Product Standard for Nicotine Level of Combusted Cigarettes

DEPARTMENT OF HEALTH AND HUMAN SERVICES
Food and Drug Administration

Federal Register Volume 83, Issue 52 (March 16, 2018)

Page Range11818-11843
FR Document2018-05345

The Food and Drug Administration (FDA) is issuing this advance notice of proposed rulemaking (ANPRM) to obtain information for consideration in developing a tobacco product standard to set the maximum nicotine level for cigarettes. Because tobacco-related harms ultimately result from addiction to the nicotine in such products, causing repeated use and exposure to toxicants, FDA is considering taking this action to reduce the level of nicotine in these products so they are minimally addictive or nonaddictive, using the best available science to determine a level that is appropriate for the protection of the public health. FDA is using the term ``nonaddictive'' in this document specifically in the context of a potentially nonaddictive cigarette. We acknowledge the highly addictive potential of nicotine itself depending upon the route of delivery. As discussed elsewhere in this document, questions remain with respect to the precise level of nicotine in cigarettes that might render them either minimally addictive or nonaddictive for specific members or segments of the population. We envision the potential circumstance where nicotine levels in cigarettes do not spur or sustain addiction for some portion of potential smokers. This could give addicted users the choice and ability to quit more easily, and it could help to prevent experimenters (mainly youth) from initiating regular use and becoming regular smokers. The scope of products covered by any potential product standard will be one issue for comment in the ANPRM. Any additional scientific data and research relevant to the empirical basis for regulatory decisions related to a nicotine tobacco product standard is another issue for comment in the ANPRM.

Federal Register, Volume 83 Issue 52 (Friday, March 16, 2018)
[Federal Register Volume 83, Number 52 (Friday, March 16, 2018)]
[Proposed Rules]
[Pages 11818-11843]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-05345]



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Vol. 83

Friday,

No. 52

March 16, 2018

Part II





Department of Health and Human Services





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Food and Drug Administration





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21 CFR Part 1130





Tobacco Product Standard for Nicotine Level of Combusted Cigarettes; 
Proposed Rule

Federal Register / Vol. 83 , No. 52 / Friday, March 16, 2018 / 
Proposed Rules

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DEPARTMENT OF HEALTH AND HUMAN SERVICES

Food and Drug Administration

21 CFR Part 1130

[Docket No. FDA-2017-N-6189]
RIN 0910-AH86


Tobacco Product Standard for Nicotine Level of Combusted 
Cigarettes

AGENCY: Food and Drug Administration, HHS.

ACTION: Advance notice of proposed rulemaking.

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SUMMARY: The Food and Drug Administration (FDA) is issuing this advance 
notice of proposed rulemaking (ANPRM) to obtain information for 
consideration in developing a tobacco product standard to set the 
maximum nicotine level for cigarettes. Because tobacco-related harms 
ultimately result from addiction to the nicotine in such products, 
causing repeated use and exposure to toxicants, FDA is considering 
taking this action to reduce the level of nicotine in these products so 
they are minimally addictive or nonaddictive, using the best available 
science to determine a level that is appropriate for the protection of 
the public health. FDA is using the term ``nonaddictive'' in this 
document specifically in the context of a potentially nonaddictive 
cigarette. We acknowledge the highly addictive potential of nicotine 
itself depending upon the route of delivery. As discussed elsewhere in 
this document, questions remain with respect to the precise level of 
nicotine in cigarettes that might render them either minimally 
addictive or nonaddictive for specific members or segments of the 
population. We envision the potential circumstance where nicotine 
levels in cigarettes do not spur or sustain addiction for some portion 
of potential smokers. This could give addicted users the choice and 
ability to quit more easily, and it could help to prevent experimenters 
(mainly youth) from initiating regular use and becoming regular 
smokers. The scope of products covered by any potential product 
standard will be one issue for comment in the ANPRM. Any additional 
scientific data and research relevant to the empirical basis for 
regulatory decisions related to a nicotine tobacco product standard is 
another issue for comment in the ANPRM.

DATES: Submit either electronic or written comments on the ANPRM by 
June 14, 2018.

ADDRESSES: You may submit comments as follows. Please note that late, 
untimely filed comments will not be considered. Electronic comments 
must be submitted on or before June 14, 2018. The https://www.regulations.gov electronic filing system will accept comments until 
midnight Eastern Time at the end of June 14, 2018. Comments received by 
mail/hand delivery/courier (for written/paper submissions) will be 
considered timely if they are postmarked or the delivery service 
acceptance receipt is on or before that date.

Electronic Submissions

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

Written/Paper Submissions

    Submit written/paper submissions as follows:
     Mail/Hand delivery/Courier (for written/paper 
submissions): Dockets Management Staff (HFA-305), Food and Drug 
Administration, 5630 Fishers Lane, Rm. 1061, Rockville, MD 20852.
     For written/paper comments submitted to the Dockets 
Management Staff, FDA will post your comment, as well as any 
attachments, except for information submitted, marked and identified, 
as confidential, if submitted as detailed in ``Instructions.''
    Instructions: All submissions received must include the Docket No. 
FDA-2017-N-6189 for ``Tobacco Product Standard for Nicotine Level of 
Certain Tobacco Products.'' Received comments, those filed in a timely 
manner (see ADDRESSES), will be placed in the docket and, except for 
those submitted as ``Confidential Submissions,'' publicly viewable at 
https://www.regulations.gov or at the Dockets Management Staff between 
9 a.m. and 4 p.m., Monday through Friday.
     Confidential Submissions--To submit a comment with 
confidential information that you do not wish to be made publicly 
available, submit your comments only as a written/paper submission. You 
should submit two copies total. One copy will include the information 
you claim to be confidential with a heading or cover note that states 
``THIS DOCUMENT CONTAINS CONFIDENTIAL INFORMATION.'' The Agency will 
review this copy, including the claimed confidential information, in 
its consideration of comments. The second copy, which will have the 
claimed confidential information redacted/blacked out, will be 
available for public viewing and posted on https://www.regulations.gov. 
Submit both copies to the Dockets Management Staff. If you do not wish 
your name and contact information to be made publicly available, you 
can provide this information on the cover sheet and not in the body of 
your comments and you must identify this information as 
``confidential.'' Any information marked as ``confidential'' will not 
be disclosed except in accordance with 21 CFR 10.20 and other 
applicable disclosure law. For more information about FDA's posting of 
comments to public dockets, see 80 FR 56469, September 18, 2015, or 
access the information at: https://www.thefederalregister.org/fdsys/pkg/FR-2015-09-18/pdf/2015-23389.pdf.
    Docket: 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 document, 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: Gerie Voss, Center for Tobacco 
Products, Food and Drug Administration, 10903 New Hampshire Ave., 
Silver Spring, MD 20993, 1-877-CTP-1373, [email protected].

SUPPLEMENTARY INFORMATION:

Table of Contents

I. Executive Summary
    A. Purpose of the ANPRM
    B. Summary of the Major Issues Raised in the ANPRM
II. Background

[[Page 11819]]

    A. Purpose
    B. Legal Authority
III. Health Consequences of Combusted Tobacco Products
    A. Nicotine in Combusted Tobacco Products and Its Impact on 
Users
    B. Negative Health Effects of Combusted Tobacco Product Use
IV. Requests for Comments and Information
    A. Scope
    B. Maximum Nicotine Level
    C. Implementation (Single Target vs. Stepped-Down Approach)
    D. Analytical Testing Method
    E. Technical Achievability
    F. Possible Countervailing Effects
    G. Other Considerations
V. Potential Public Health Benefits of Preventing Initiation to 
Regular Use and Increasing Cessation
    A. Smoking Cessation Would Lead to Substantial Public Health 
Benefits for People of All Ages
    B. A Nicotine Tobacco Product Standard Could Lead to Substantial 
Improvement in Public Health
VI. References

I. Executive Summary

A. Purpose of the ANPRM

    Tobacco use causes a tremendous toll of death and disease every 
year, and these effects are ultimately the result of addiction to the 
nicotine in combustible cigarettes which causes repeated use of such 
products, thus repeatedly exposing users and non-users to toxicants. 
This nicotine addiction causes users to engage in compulsive tobacco 
use, makes quitting less likely, and, thus, repeatedly exposes them to 
thousands of toxicants in combusted tobacco products. This is 
especially true with respect to cigarette smoking. Through this ANPRM, 
FDA indicates that it is considering the issuance of a product standard 
to set a maximum nicotine level in cigarettes so that they are 
minimally addictive or nonaddictive, using the best available science 
to determine a level that is appropriate for the protection of the 
public health. The Agency seeks information and comment on a number of 
issues associated with such a potential product standard. Greatly 
reducing or eliminating the addictiveness of cigarettes would have 
significant benefits for youth, young adults, and adults. More than 
half of adult cigarette smokers make a serious quit attempt each year 
(quit for at least a day), many of whom do not succeed due to the 
addictive nature of these products (Ref. 1). The establishment of a 
maximum nicotine level in cigarettes not only could increase the 
likelihood of successful quit attempts, but it also could help prevent 
experimenters (mainly youth and young adults) from initiating regular 
cigarette smoking. Therefore, rendering cigarettes minimally addictive 
or nonaddictive (however that were achieved) could help current users 
quit and prevent future users from becoming addicted and escalating to 
regular use.

B. Summary of the Major Issues Raised in the ANPRM

    In this ANPRM, FDA is seeking information on a variety of issues 
regarding the development of a tobacco product standard that would 
limit the amount of nicotine in cigarettes. Specifically, FDA is 
seeking your comments, evidence, and other information supporting your 
responses to questions on the following topics:
     Scope--Cigarettes are the tobacco product category that 
causes the greatest burden of harm to public health given the 
prevalence of cigarette use, including among youth, and the toxicity 
and addictiveness of these products and the resulting tobacco-related 
disease and death across the population, including among non-users. If 
FDA were to establish a nicotine tobacco product standard that covered 
only cigarettes, some number of addicted smokers could migrate to other 
similar combusted tobacco products to maintain their nicotine dose (or 
engage in dual use with other combusted tobacco products), potentially 
reducing the positive public health impact of such a rule. Because the 
scope would impact the potential public health benefits of a nicotine 
tobacco product standard, FDA is seeking comment on whether the 
standard should cover any or all of the following products: Combusted 
cigarettes (which FDA has previously interpreted to include kreteks and 
bidis), cigarette tobacco, roll-your-own (RYO) tobacco, some or all 
cigars, pipe tobacco, and waterpipe tobacco. FDA intends that any 
nicotine tobacco product standard would cover all brands in a 
particular product category and, therefore, those products currently on 
the market and any new tobacco products would be expected to adhere to 
the standard.
     Maximum Nicotine Level--FDA has considered the existing 
peer-reviewed studies regarding very low nicotine content (VLNC) 
cigarettes and the likely effects of reducing nicotine in combusted 
tobacco products (i.e., cigarettes, cigars, pipe tobacco, roll-your-own 
tobacco, and waterpipe tobacco). A 2013 survey paper noted that 
researchers initially estimated that reducing the total nicotine 
content of cigarettes to 0.5 milligrams (mg) per rod would minimize 
addictiveness and that a ``more recent analysis suggests that the 
maximum allowable nicotine content per cigarette that minimizes the 
risk of central nervous system effects contributing to addiction may be 
lower'' (Ref. 2). The study authors concluded that ``[p]reventing 
children from becom[ing] addicted smokers and giving people greater 
freedom to stop smoking when they decide to quit by reducing the 
addictiveness of cigarettes is a policy that increasingly appears to be 
feasible and warranted'' (id.). We specifically request comment 
regarding this paper's conclusions and the possible impact of higher or 
lower maximum nicotine levels in a potential nicotine tobacco product 
standard. If FDA were to pursue a nicotine tobacco product standard, it 
would be important for FDA to consider what maximum nicotine level for 
such standard would be appropriate, how this maximum nicotine level 
should be measured (e.g., nicotine yield, nicotine in tobacco filler, 
something else), and how the threshold of nicotine addiction should be 
measured, using the best available science to determine a level that is 
appropriate for the protection of the public health. FDA seeks comment 
on a potential maximum nicotine level that would be appropriate for the 
protection of the public health, in light of scientific evidence about 
the addictive properties of nicotine in cigarettes. FDA is particularly 
interested in comments about the merits of nicotine levels like 0.3, 
0.4, and 0.5 mg nicotine/g of tobacco filler, as well as other levels 
of nicotine. FDA is also requesting any information on additional 
scientific data and research which would provide information about 
specific groups within the general population which may have an 
increased sensitivity to nicotine's reinforcing effects, or who may 
have otherwise not been captured in the literature on VLNC cigarettes. 
In addition, FDA is considering and requesting information on 
additional scientific data and research relevant to the empirical basis 
for regulatory decisions related to a potential nicotine product 
standard.
     Implementation--If FDA were to issue a product standard 
establishing a maximum nicotine level for cigarettes, such a standard 
could propose either a single target (where the nicotine is reduced all 
at once) or a stepped-down approach (where the nicotine is reduced 
gradually over time through a sequence of incremental levels and 
implementation dates) to reach the desired maximum nicotine level.
     Analytical Testing Method--As part of its consideration 
regarding a potential nicotine tobacco product standard, FDA is also 
considering whether such a product standard should specify a method for 
manufacturers to use to

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detect the level of nicotine in their products. FDA believes that the 
results of any test to measure the nicotine in such products should be 
comparable across different accredited testing facilities and products. 
It is critical that the results from the test method used demonstrate a 
high level of specificity, accuracy, and precision in measuring a range 
of nicotine levels across a wide variety of tobacco blends and 
products. FDA is aware of a variety of methods being developed that 
quantify nicotine in tobacco or tobacco product filler for various 
products.
     Technical Achievability--If FDA were to move forward in 
this area and proceed to the next step of issuing a proposed rule, 
section 907(b)(1) of the Federal Food, Drug, and Cosmetic Act (the FD&C 
Act) (21 U.S.C. 387g(b)(1) would require that FDA consider information 
submitted in connection with that proposed product standard regarding 
technical achievability of compliance. FDA continues to analyze the 
technical achievability of a maximum nicotine level for cigarettes as 
part of its broader assessment of how best to exercise its regulatory 
authority in this area. Significant nicotine reductions in cigarettes 
and other combusted tobacco products can be achieved principally 
through tobacco blending and cross-breeding plants, genetic 
engineering, and chemical extraction. Agricultural practices (e.g., 
controlled growing conditions, fertilization, and harvest) as well as 
more recent, novel techniques also can help to reduce nicotine levels. 
FDA is considering the feasibility of the current nicotine reduction 
techniques--for cigarette and other combusted tobacco product 
manufacturers of all sizes--to significantly reduce nicotine levels to 
levels similar to those in existing VLNC cigarettes. FDA also is 
considering the proper timeframe for implementation of a possible 
nicotine tobacco product standard to allow adequate time for industry 
to comply. In addition, FDA is seeking data and information regarding 
the potential costs, including possible costs to farmers, to implement 
such a standard.
     Possible Countervailing Effects--There may be possible 
countervailing effects that could diminish the population health 
benefits expected as a result of a nicotine tobacco product standard. 
As part of any subsequent rulemaking, FDA would need to assess these 
effects in comparison to the expected benefits, including among 
population subgroups. One possible countervailing effect is continued 
combusted tobacco product use. Current smokers of tobacco products 
subject to a nicotine tobacco product standard could turn to other 
combusted tobacco products to maintain their nicotine dependence, both 
in combination with cigarettes (i.e., dual use) or in place of 
cigarettes (i.e., switching). Coverage of other combusted tobacco 
products, as FDA is considering, is one way to significantly limit this 
product migration or transition to dual use with other combusted 
tobacco products.
    Another possible countervailing effect is the potential for 
increased harm due to continued VLNC smoking with altered smoking 
behaviors (e.g., increase in number of cigarettes smoked, increased 
depth of inhalation). Some studies of VLNC cigarettes with nicotine 
levels similar to what FDA may consider including in a nicotine tobacco 
product standard have not resulted in compensatory smoking and have 
demonstrated reductions in cigarettes smoked per day and in exposure to 
harmful constituents (e.g., Ref. 3; Ref. 4; Ref. 5).
    Another possible countervailing effect of setting a maximum 
nicotine level for cigarettes could be users seeking to add nicotine in 
liquid or other form to their combusted tobacco product. Therefore, FDA 
is considering whether any action it might take to reduce nicotine in 
cigarettes should be paired with a provision that would prohibit the 
sale or distribution of any tobacco product designed for the purposes 
of supplementing the nicotine content of the combusted tobacco product 
(or where the reasonably foreseeable use of the product is for the 
purposes of supplementing the nicotine content). FDA is also 
considering other regulatory options to address this concern.
    FDA is also considering whether illicit trade could occur as a 
result of a nicotine tobacco product standard and how that could impact 
the marketplace. In addition, FDA is considering how, if FDA were to 
issue a nicotine tobacco product standard that prompted an increase in 
the illicit market, comprehensive interventions could reduce the size 
of the illicit tobacco market through enforcement mechanisms and 
collaborations across jurisdictions.
     Other Considerations--FDA also recognizes that, if FDA 
were to proceed to the stage of proposing a rule in this area, 
potential costs and benefits from a possible nicotine tobacco product 
standard would be estimated and considered in an accompanying 
preliminary impact analysis, including the potential impacts on growers 
of tobacco and current users of potentially regulated products. Thus, 
FDA is also seeking comments, data, research results, and other 
information regarding economic impacts of a potential nicotine tobacco 
product standard.
    Further, this ANPRM briefly describes the potential public health 
benefits that could result from the increased cessation from and 
decreased initiation to regular use of cigarettes that FDA expects 
could occur with a nicotine tobacco product standard. FDA references 
findings from a population-based simulation model that projects the 
potential public health impact of enacting a regulation lowering 
nicotine levels in cigarettes and certain other combusted tobacco 
products to minimally addictive levels, utilizing inputs derived from 
empirical evidence and expert opinion (eight subject matter experts 
provided quantitative estimates for the potential outcomes of the 
policy on smoking cessation, initiation, switching, and dual use 
rates). Based on the experts' determinations that the reduction in 
nicotine levels in combusted tobacco products would create substantial 
reductions in smoking prevalence due to increased smoking cessation and 
reduced initiation of regular smoking, the model calculates that by the 
year 2100, more than 33 million youth and young adults who would have 
otherwise initiated regular smoking would not start as a result of a 
nicotine tobacco product standard. The model also projected that 
approximately 5 million additional smokers would quit smoking 1 year 
after implementation of the product standard, compared to the baseline 
scenario, which would increase to approximately 13 million additional 
former smokers within 5 years after policy implementation.

II. Background

A. Purpose

    On July 28, 2017, FDA announced a comprehensive approach to the 
regulation of nicotine that includes the Agency's plan to begin a 
public dialogue about lowering nicotine levels in combustible 
cigarettes to minimally addictive or nonaddictive levels through 
achievable product standards, including the issuance of an ANPRM to 
seek input on the potential public health benefits and any possible 
adverse effects of lowering nicotine in cigarettes. Tobacco use causes 
a tremendous toll of death and disease every year, and these effects 
are ultimately the result of addiction to the nicotine contained in 
combustible cigarettes, leading to repeated exposure to toxicants from 
such cigarettes. This nicotine addiction causes users to engage in 
compulsive use, makes quitting less likely and, therefore,

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repeatedly exposes them (and others) to thousands of toxicants in 
combusted tobacco products. This is especially true with respect to 
cigarette smoking. Researchers have found that the mortality rate from 
any cause of death at any given age is 2 to 3 times higher among 
current cigarette smokers, compared to individuals who never smoked 
(Ref. 6).\1\ Through this ANPRM, FDA indicates that it is considering 
the issuance of a product standard to set a maximum nicotine level in 
cigarettes so that they are minimally addictive or nonaddictive, using 
the best available science to determine a level that is appropriate for 
the protection of the public health.\2\ The Agency seeks information 
and comment on a number of issues associated with such a potential 
product standard. Greatly reducing the addictiveness of cigarettes 
would have significant benefits for youth, young adults, and adults.\3\ 
More than half of adult smokers make a serious quit attempt each year 
(quit for at least a day), many of whom are not able to succeed due to 
the addictive nature of these products (Ref. 1). The establishment of a 
maximum nicotine level in cigarettes not only could increase the 
likelihood of successful quit attempts, but it also could help prevent 
experimenters (mainly youth) from initiating regular use. Therefore, 
FDA hypothesizes that making cigarettes minimally addictive or 
nonaddictive, using the best available science to determine a level 
that is appropriate for the protection of the public health, would 
significantly reduce the morbidity and mortality caused by smoking.
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    \1\ The discussion of scientific data discussed in this ANPRM is 
not intended to cover all available information on this subject 
matter. Rather, it is intended to provide only a sampling of some of 
the current research that could be relevant to consideration of a 
potential nicotine tobacco product standard.
    \2\ The Family Smoking Prevention and Tobacco Control Act 
specifically prohibits the Agency from ``requiring the reduction of 
nicotine yields of a tobacco product to zero'' but generally 
authorizes FDA to issue a tobacco product standard setting a maximum 
nicotine level. Section 907(C)(3)(B) of the FD&C Act.
    \3\ The definitions of ``youth,'' ``young adults,'' and 
``adults'' can vary in scientific studies. The term ``youth'' 
generally refers to middle school and/or high school age students. 
``Young adults'' generally refers to individuals 18 to 24 years of 
age. In some studies, ``adults'' may encompass individuals age 18 to 
24 but generally refers to those individual 24 to 65 years of age.
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    Preventing nonsmokers, particularly youth and young adults, from 
becoming regular smokers due to nicotine addiction would allow them to 
avoid the severe adverse health consequences of smoking and would 
result in substantial public health benefits. In 2014, the Surgeon 
General estimated that, unless this trajectory is changed dramatically, 
5.6 million youth aged 0 to 17 years alive today will die prematurely 
from a smoking-related disease (Ref. 7 at table 12.2.2). In 2009, 
Congress estimated that a 50 percent reduction in youth smoking would 
also result in approximately $75 billion in savings \4\ attributable to 
reduced health care costs (see section 2(14) of the Family Smoking 
Prevention and Tobacco Control Act; 21 U.S.C. 387 note). As further 
explained in this ANPRM, if cigarettes were minimally addictive or 
nonaddictive, it is expected that many fewer youth and young adults 
would be subjected to the impacts of nicotine (which has a 
significantly stronger effect on the developing brains of youth (e.g., 
Refs. 8 and 9)) from cigarettes, nor would they suffer from the health 
and mortality effects of cigarette use.
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    \4\ Congress' estimate of approximately $75 billion in savings, 
if adjusted for inflation, would amount to $83.63 billion in 2017.
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    Nicotine is powerfully addictive. The Surgeon General has reported 
that 87 percent of adult smokers start smoking before the age of 18 and 
half of adult smokers become addicted before the age of 18, which is 
before the age at which they can legally buy a pack of cigarettes (Ref. 
7). Nearly all smokers begin before the age of 25, which is the 
approximate age at which the brain has completed development (Ref. 8). 
Generally, those who begin smoking before the age of 18 are not aware 
of the degree of addictiveness and the full extent of the consequences 
of smoking when they begin experimenting with tobacco use (see, e.g., 
Ref. 10). Although youth generally believe they will be able to quit 
when they want, in actuality they have low success rates when making a 
quit attempt. For example, more than 60 percent of high school aged 
daily smokers have tried to quit but less than 13 percent were 
successful at quitting for 30 days or more (Ref. 11). In addition, one 
study found that 3 percent of 12th grade daily smokers estimated that 
they would ``definitely'' still be smoking in 5 years, while in reality 
63 percent of this population is still smoking 7 to 9 years later (Ref. 
12). Another survey revealed that ``nearly 60 percent of adolescents 
believe that they could smoke for a few years and then quit'' (Ref. 
13).
    Because it is such a powerful addiction, addiction to nicotine is 
often lifelong (Ref. 14). Among adolescent tobacco users in 2012, over 
half (52.2 percent) reported experiencing at least one symptom of 
tobacco dependence (Ref. 15). FDA expects that making cigarettes 
minimally addictive or nonaddictive (however that were achieved) may 
have significant benefits for youth by reducing the risk that youth 
experimenters progress to regular use of cigarettes as a result of 
nicotine dependence.
    The adolescent brain is more vulnerable to developing nicotine 
dependence than the adult brain; there are also data from animal 
studies that indicate that brain changes induced by nicotine may have 
long-term consequences (i.e., the long-term physical changes, caused by 
the adolescent nicotine exposure, prevent the brain from reaching its 
full potential, which could result in permanent deficiencies) (Refs. 8 
and 9). Adolescent tobacco users who initiated tobacco use at earlier 
ages were more likely than those initiating at older ages to report 
symptoms of tobacco dependence, putting them at greater risk for 
maintaining tobacco product use into adulthood (Ref. 15). Evidence from 
animal studies indicate that exposure to substances such as nicotine 
can disrupt brain development and have long-term consequences for 
executive cognitive function (such as task-switching and planning) and 
for the risk of developing a substance abuse disorder and various 
mental health problems (particularly affective disorders such as 
anxiety and depression) as an adult (Ref. 16). This exposure to 
nicotine can also have long-term effects, including decreased attention 
performance and increased impulsivity, which could promote the 
maintenance of nicotine use behavior (id.). Further, the 2010 Surgeon 
General's Report noted that symptoms of dependence could result from 
even a limited exposure to nicotine during adolescence (Ref. 17).
    For all these reasons, FDA is considering limiting the 
addictiveness of cigarettes by setting a product standard establishing 
a maximum nicotine level of cigarettes, to help prevent experimenters 
(who are mainly youth) from becoming addicted to tobacco and, thus, 
prevent them from initiating regular use and from increasing their risk 
of tobacco-related death and disease.
    FDA is also considering this action because age restrictions on the 
sale of tobacco products, by themselves, are not entirely effective in 
preventing youth from obtaining cigarettes or other combusted tobacco 
products. Youth smokers get their cigarettes from a variety of sources, 
including directly purchasing them from retailers, giving others money 
to buy them, obtaining them from other youth or adults (with

[[Page 11822]]

or without their knowledge), or using illegal means (i.e., shoplifting 
or stealing) (Ref. 18). The 2015 National Youth Risk Behavior 
Surveillance Survey (YRBS) of high school students in grades 9 through 
12 found that 12.6 percent of current cigarette smokers under age 18 
had purchased their cigarettes directly from stores or gas stations 
despite the Federal minimum age requirements for cigarettes (Ref. 19). 
While continued vigorous enforcement of youth access restrictions is 
critical to protecting public health, FDA is considering taking this 
additional step to ensure that even if youth do obtain access to 
cigarettes, they will be less likely to: (1) Become addicted to these 
products; (2) initiate regular use; and (3) increase their risk of the 
many diseases caused by, and debilitating effects of, combusted tobacco 
product use (Ref. 20).
    Similarly, limiting the nicotine in cigarettes could have 
significant benefits for adult tobacco product users, a large majority 
of whom want to quit but are unsuccessful because of the highly 
addictive nature of these products (see, e.g., Ref. 21). Data from the 
2015 National Health Interview Survey show that 68 percent of current 
adult cigarette smokers in the United States wanted to quit and 55.4 
percent of adult cigarette smokers made a past-year quit attempt of at 
least 1 day (Ref. 22). In high-income countries, about 7 of 10 adult 
smokers say they regret initiating smoking and would like to stop (Ref. 
23 at p. 2). Decreasing the nicotine in cigarettes so that they are 
minimally addictive or nonaddictive (using the best available science 
to determine a level that is appropriate for the protection of the 
public health) could help users quit if they want to--as the large 
majority of users say they do (e.g., Ref. 21).
    Although many factors contribute to an individual's initial 
experimentation with tobacco products, the addictive nature of tobacco 
is the major reason people progress to regular use, and it is the 
presence of nicotine that causes youth, young adults, and adult users 
to become addicted to, and to sustain, tobacco use (see, e.g., Refs. 24 
and 25). While nicotine is the primary addictive chemical in tobacco, 
sensorimotor stimuli that are repeatedly paired with nicotine through 
the process of smoking also develop into conditioned reinforcers that 
contribute to the persistent nature of nicotine dependence (Ref. 26). 
In cigarette users, the sensory aspects of smoking, such as taste and 
sensations of smoking (e.g., throat hit), are often reinforcing as they 
have been paired repeatedly with nicotine exposure and have been found 
to be reinforcing without concomitant nicotine exposure in experienced 
users (Ref. 27). Once tobacco users become addicted to nicotine, they 
require nicotine to avoid certain withdrawal symptoms. In the process 
of obtaining nicotine, users of combusted tobacco products are exposed 
to an array of toxicants in tobacco and tobacco smoke that lead to a 
substantially increased risk of morbidity and mortality (see, e.g., 
Ref. 10). Although most current U.S. smokers report that they want to 
quit smoking, have attempted to quit, and regret starting (see, e.g., 
Refs. 28 and 29), many smokers find it difficult to break their 
addiction and quit. Because of nicotine addiction, many smokers lack 
the ability to choose whether or not to continue smoking these toxic 
combusted products despite their stated desire to quit (see, e.g., Ref. 
17).
    Accordingly, FDA is considering whether to issue a tobacco product 
standard to: (1) Give addicted users of cigarettes the choice and 
ability to quit more easily by reducing the nicotine to a minimally 
addictive or nonaddictive level and (2) reduce the risk of progression 
to regular use and nicotine dependence for persons who experiment with 
the tobacco products covered by the standard. FDA hypothesizes that 
making cigarettes minimally addictive or nonaddictive, using the best 
available science to determine a level that is appropriate for the 
protection of the public health, could significantly reduce the 
morbidity and mortality caused by smoking.

B. Legal Authority

    The Family Smoking Prevention and Tobacco Control Act (Tobacco 
Control Act) was enacted on June 22, 2009, amending the FD&C Act and 
providing FDA with the authority to regulate tobacco products (Pub. L. 
111-31). Section 901 of the FD&C Act (21 U.S.C. 387a), as amended by 
the Tobacco Control Act, granted FDA authority to regulate the 
manufacture, marketing, and distribution of cigarettes, cigarette 
tobacco, RYO tobacco, and smokeless tobacco to protect the public 
health and to reduce tobacco use by minors. The Tobacco Control Act 
also gave FDA the authority to issue a regulation deeming other 
products that meet the statutory definition of tobacco product to be 
subject to FDA's tobacco product authority under chapter IX of the FD&C 
Act. On May 10, 2016, FDA issued the deeming rule (81 FR 28973), 
extending FDA's tobacco product authority to all tobacco products, 
other than the accessories of deemed tobacco products, that meet the 
statutory definition of tobacco product.
    Among the authorities included in chapter IX of the FD&C Act is the 
authority to establish tobacco product standards. The Act authorizes 
FDA to adopt a tobacco product standard under section 907 of the FD&C 
Act if the Secretary of Health and Human Services (HHS) finds that a 
tobacco product standard is appropriate for the protection of the 
public health. In making such a finding, the Secretary of HHS must 
consider scientific evidence concerning: (1) The risks and benefits of 
the proposed standard to the population as a whole, including users and 
nonusers of tobacco products; (2) the increased or decreased likelihood 
that existing users of tobacco products will stop using such products; 
and (3) the increased or decreased likelihood that those who do not use 
tobacco products will start using such products (section 
907(a)(3)(B)(i) of the FD&C Act).
    Section 907(a)(4) of the FD&C Act states that tobacco product 
standards must include provisions that are appropriate for the 
protection of the public health. Section 907(a)(4)(B)(i) provides that 
a product standard must include, where appropriate for the protection 
of the public health, provisions respecting the construction, 
components, ingredients, additives, constituents, including smoke 
constituents, and properties of the tobacco product. Further, section 
907(a)(4)(A)(i) states that provisions in tobacco product standards 
must include, where appropriate, provisions for nicotine yields. 
Section 907(a)(4)(B)(ii) also provides that a product standard must, 
where appropriate for the protection of public health, include 
``provisions for the testing (on a sample basis or, if necessary, on an 
individual basis) of the tobacco product.'' In addition, section 
907(a)(4)(B)(iv) provides that, where appropriate for the protection of 
public health, a product standard must include provisions requiring 
that the results of the tests of the tobacco product required under 
section 907(a)(4)(B)(ii) show that the product is in conformity with 
the portions of the standard for which the test(s) were required. 
Finally, section 907(d)(3)(B) of the FD&C Act prohibits the Agency from 
issuing a regulation that would require the reduction of nicotine 
yields of a tobacco product to zero.
    The FD&C Act also provides FDA with authority to issue regulations 
establishing restrictions on the sale and distribution of a tobacco 
product (section 906(d)(1) of the FD&C Act (21 U.S.C. 387f(d)(1))). 
These restrictions

[[Page 11823]]

may include restrictions on the access to, and the advertising and 
promotion of, the tobacco product, if the Secretary of HHS determines 
such regulation would be appropriate for the protection of the public 
health.
    FDA intends to use the information submitted in response to this 
ANPRM, its independent scientific knowledge, and other appropriate 
information, to further inform its thinking about options, including 
the scope, for a potential product standard that would set a maximum 
nicotine level for cigarettes, and restrictions prohibiting the sale 
and distribution of any product that violates such a standard.

III. Health Consequences of Combusted Tobacco Products

A. Nicotine in Combusted Tobacco Products and Its Impact on Users

    Tobacco products are addictive, primarily due to the presence of 
nicotine, and the magnitude of public health harm caused by tobacco 
products is inextricably linked to their addictive nature (Ref. 13 at 
p. xi). Cigarettes are the most widely used tobacco products among 
adults and are responsible for at least 480,000 premature deaths in the 
United States each year (Ref. 7). Other combusted tobacco products that 
are possible targets of product migration (i.e., switch candidates for 
smokers to maintain their nicotine addiction) or dual use have similar 
adverse health effects and can cause nicotine dependence (Refs. 30 and 
31). For example, researchers have found that current exclusive cigar 
smokers and current exclusive pipe smokers have an increased risk for 
lung cancer and tobacco-related cancers overall, as compared to those 
who reported never using any type of combusted tobacco product (Ref. 
32). We note that there is a dose-response relationship between the 
number of cigars and pipes smoked and the risk of disease (i.e., the 
larger the number of cigars or pipes smoked, the higher the risk of 
disease) (Ref. 31 at 110), but cigar and pipe users are still subject 
to the addictive effects of nicotine through nicotine absorption (and 
to the health impacts of long-term use that may follow from regular use 
due to addiction) even if they report that they do not inhale (Refs. 
33-35).
    The Surgeon General has reported that ``most people begin to smoke 
in adolescence and develop characteristic patterns of nicotine 
dependence before adulthood'' (Ref. 36 at p. 29). Adolescents develop 
physical dependence and experience withdrawal symptoms when they try to 
quit smoking (id.). The 2014 Surgeon General's Report states that 5.6 
million youth currently 0 to 17 years of age are projected to die 
prematurely from smoking-related illnesses (Ref. 7 at pp. 666-667). 
Accordingly, using the best available science to determine a level that 
is appropriate for the protection of the public health, making 
cigarettes minimally addictive or nonaddictive would limit the number 
of youth and young adults who progress from experimentation to regular 
use and who, thereby, increase their risk for dangerous smoking-related 
diseases.
    Researchers have determined that almost one-third of adolescents 
aged 11 to 18 (31 percent) are ``early experimenters,'' meaning that 
they have tried smoking at least one puff of a cigarette (but smoked no 
more than 25 cigarettes in their lifetime) (Ref. 37). The Centers for 
Disease Control and Prevention (CDC) and other researchers have 
estimated that 30 percent or more of experimenters become established 
smokers (Ref. 37, citing Refs. 38 and 39). Given these past trends, if 
one applies the 30 percent estimate to the adolescents who were early 
experimenters in 2000, then 2.9 million of these early experimenters 
have now or will become established smokers (Ref. 37). Based on the 
number of persons aged 0 to 17 in 2012, the Surgeon General estimated 
that 17,371,000 of that group will become future smokers and 5,557,000 
will die from a smoking-related disease (Ref. 7 at T. 12.2.1). These 
high numbers speak to the extreme vulnerability of today's children and 
adolescents to the health harms of tobacco use resulting from 
addiction.
    Nicotine addiction is a critical factor in the transition of 
smokers from experimentation to sustained smoking and in the 
continuation of smoking for those who want to quit (Ref. 7 at p. 113; 
Ref. 17). Intermittent smokers, even very infrequent smokers, can 
become addicted to tobacco products (Ref. 40). Longitudinal research 
has shown that smoking typically begins with experimental cigarette use 
and the transition to regular smoking can occur relatively quickly by 
smoking as few as 100 cigarettes (Ref. 8). Other research found that 
among the 3.9 million middle and high school students who reported 
current use of tobacco products (including cigarettes and cigars) in 
2012, 2 million of those students reported at least one symptom of 
dependence (Ref. 15).
    Although the majority of adolescent daily smokers meet the criteria 
for nicotine dependence, one study found that the most susceptible 
youth lose autonomy (i.e., independence in their actions) regarding 
tobacco within 1 or 2 days of first inhaling from a cigarette (Refs. 41 
and 42). Another study found that 19.4 percent of adolescents who 
smoked weekly also were considered to be nicotine dependent (Ref. 43). 
In a study regarding nicotine dependence among recent onset adolescent 
smokers, individuals who smoked cigarettes at the lowest levels (i.e., 
smoking on only 1 to 3 days of the past 30 days) experienced nicotine 
dependence symptoms such as loss of control over smoking (42 percent) 
and irritability after not smoking for a while (23 percent) (Ref. 44). 
Researchers in a 4-year study of sixth grade students also found that 
``[e]ach of the nicotine withdrawal symptoms appeared in some subjects 
prior to daily smoking'' (Ref. 42) (emphasis added). Ten percent of the 
subjects showed signs of addiction to tobacco use within 1 or 2 days of 
first inhaling from a cigarette, and half had done so by the time they 
were smoking seven cigarettes per month (Ref. 42).
    It is clear that many adult cigarette smokers want to quit. Data 
from the 2015 National Health Interview Survey show that 68 percent of 
current adult smokers in the United States wanted to quit and 55.4 
percent of adult smokers made a past-year quit attempt of at least 1 
day (Ref. 22). According to an analysis of this survey, only 7.4 
percent of former adult cigarette smokers had recently quit (id.).
    For adult smokers who report quit attempts, many of these attempts 
are unsuccessful. For example, among the 19 million adults who reported 
attempting to quit in 2005, epidemiologic data suggest that only 4 to 7 
percent were successful (Ref. 28 at p. 15). Similarly, the Institute of 
Medicine (IOM), considering data from 2004, found that although 
approximately 40.5 percent of adult smokers reported attempting to quit 
in that year, only between 3 and 5 percent were successful (Ref. 13 at 
p. 82). Adult smokers may make as many as thirty or more quit attempts 
before succeeding (Ref. 45). FDA also notes that adults with education 
levels at or below the equivalent of a high school diploma have the 
highest smoking prevalence levels but the lowest quit ratios (i.e., the 
ratio of persons who have smoked at least 100 cigarettes during their 
lifetime but do not currently smoke to persons who report smoking at 
least 100 cigarettes during their lifetime) (Ref. 46). Nicotine 
addiction and associated withdrawal symptoms make it difficult for 
smokers to quit without using cessation counseling and/or cessation 
medications.

[[Page 11824]]

    Adolescents also experience low success rates when attempting to 
quit. As we have noted, most Americans who use tobacco products begin 
using when they are under the age of 18 and become addicted before 
reaching the age of 18 (Refs. 36 and 47). Although many adolescents 
believe ``they can quit [smoking] at any time and therefore avoid 
addiction,'' nicotine dependence can be rapidly established (Ref. 13 at 
p. 89; see also Ref. 28 at p. 158). Research has shown that some 
adolescents report symptoms of withdrawal and craving within days or 
weeks of beginning to smoke (Ref. 48). As a result, many adolescents 
are nicotine dependent despite their relatively short smoking histories 
(Ref. 11). An analysis of data from the 2015 YRBS found that, of those 
currently smoking cigarettes, 45.4 percent had tried to quit smoking 
cigarettes during the previous year (Ref. 19). Likewise, an analysis of 
the 2012 National Youth Tobacco Survey (NYTS) revealed that 51.5 
percent of middle and high school student smokers had sought to quit 
all tobacco use in the previous year (Ref. 49).
    Relapse is the principal limiting factor in the transition of 
smoking to nonsmoking status (Ref. 17). Relapse refers to the point 
after an attempt to stop smoking when tobacco use becomes ongoing and 
persistent (Ref. 17, citing Ref. 50). Most smokers who ultimately 
relapse do so soon after their quit attempt (Ref. 17). One study found 
that 80 to 90 percent of those individuals who were smoking at 6 months 
following a quit attempt had resumed smoking within 2 weeks following 
their quit attempt (Ref. 51). Long-term studies of individuals trying 
to quit smoking reveal that 30 to 40 percent of those who quit smoking 
for 1 year eventually relapsed (id.). In fact, one study following 840 
participants for more than 8 years found that approximately one-half of 
smokers who stopped smoking for 1 year relapsed to regular smoking 
within the subsequent 7 years (Ref. 52). Researchers have found that a 
higher frequency of smoking predicts more severe withdrawal symptoms 
and earlier relapse after an attempt to quit smoking and is associated 
with early lapses after cessation (Ref. 17 at p. 119). FDA specifically 
requests comment as to whether higher frequency smokers would 
experience more severe withdrawal symptoms from the use of VLNC 
cigarettes.
    FDA expects that, if cigarettes were minimally addictive or 
nonaddictive, the nicotine level in cigarettes would be self-limiting 
(i.e., smokers would be unable to obtain their nicotine dose from 
cigarettes no matter how they smoked them and eventually would stop 
trying to do so) (e.g., Refs. 4, 5, and 53), making it potentially 
easier for smokers to make more successful quit attempts and likely 
leading to a potentially substantial reduction in the rate of relapse 
compared to current levels.\5\ Former smokers that choose to switch 
completely to a potentially less harmful nicotine delivery product 
(e.g., electronic nicotine delivery systems (ENDS)) to maintain their 
nicotine dose also would, to the extent that those products result in 
less harm, significantly reduce their risk of tobacco-related death and 
disease. Accordingly, rendering cigarettes minimally addictive or 
nonaddictive (however that were achieved) would be expected to address 
the principal reason that smokers are unable to quit smoking.
---------------------------------------------------------------------------

    \5\ As stated throughout the document, FDA expects that, to 
maintain their nicotine dose, some number of addicted cigarette 
smokers could migrate to other similar, combusted products (or 
engage in dual use with such products) after the standard went into 
effect, reducing the benefits of the product standard. Since the 
scope would impact the potential public health benefits of such a 
nicotine tobacco product standard, FDA is seeking comment on whether 
the standard should cover any or all of the following products: 
Combusted cigarettes (which FDA has previously interpreted to 
include kreteks and bidis), cigarette tobacco, roll-your-own 
tobacco, some or all cigars, waterpipe tobacco, and pipe tobacco.
---------------------------------------------------------------------------

B. Negative Health Effects of Combusted Tobacco Product Use

    Nicotine is a powerfully addictive chemical. The effects of 
nicotine on the central nervous system occur rapidly after absorption 
(Ref. 25 at p. 12). Users of combusted tobacco products absorb nicotine 
readily from tobacco smoke through the lungs (id. at p. iii). Nicotine 
introduced through the lungs is rapidly distributed to the brain (id. 
at p. 12). With regular use, nicotine levels accumulate in the body 
during the day from the tobacco product use and then decrease overnight 
as the body clears the nicotine (id. at p. iii). Mild nicotine 
intoxication even occurs in first-time smokers (Ref. 25 at pp. 15-16). 
Tolerance to the effects of nicotine develops rapidly.
    The addiction potential of a nicotine delivery system varies as a 
function of its total nicotine dosing capability, the speed at which it 
can deliver nicotine, the palatability and sensory characteristics of 
the system, how easy it is for the user to extract nicotine, and the 
cost of the delivery system (Ref. 54). A cigarette is an inexpensive 
and extremely effective nicotine delivery device, which maximizes the 
cigarette's addicting and toxic effects (id.). The amount of nicotine 
delivered and the means through which it is delivered can either reduce 
or enhance a product's potential for abuse and physiological effects 
(Ref. 17 at p. 113). Quicker delivery, higher rate of absorption, and 
higher resulting concentration of nicotine increase the potential for 
addiction (id. at p. 113). The ultimate levels of nicotine absorbed 
into the blood for different tobacco products (e.g., cigarettes and 
cigars) can be similar in magnitude even though individuals may smoke 
them differently and the rate of absorption may be different (Ref. 25).
    The significant negative health effects from cigarettes are a 
consequence of long-term use. Children and adults continue using 
cigarettes primarily as a result of their addiction to nicotine (e.g., 
Ref. 7). Almost all adult smokers started smoking cigarettes as 
children or young adults, and half of adult smokers became addicted 
before turning 18 (id.).
    Cigarettes are responsible for hundreds of thousands of premature 
deaths every year from many diseases, put a substantial burden on the 
U.S. health care system, and cause massive economic losses to society 
(Ref. 7 at pp. 659-666; another perspective on this issue is provided 
by Sloan et al. (Ref. 55)). Cigarette smoking causes more deaths each 
year than AIDS, alcohol, illegal drug use, homicide, suicide, and motor 
vehicle crashes combined (Ref. 47). Every year, cigarette smoking is 
the primary causal factor for 163,700 deaths from cancer, 160,600 
deaths from cardiovascular and metabolic diseases, and 131,100 deaths 
from pulmonary diseases (Ref. 7 at p. 659). In the United States, about 
87 percent of all lung cancer deaths, 32 percent of coronary heart 
disease deaths, and 79 percent of all cases of chronic obstructive 
pulmonary disease (COPD) are attributable to cigarette smoking (id.). 
The 2014 Surgeon General's Report states that 5.6 million youth 
currently 0 to 17 years of age are projected to die prematurely from 
smoking-related illnesses (id. at pp. 666-667).
    Data from the CDC's Smoking-Attributable Mortality, Morbidity, and 
Economic Costs system for 2005-2009 (the most recent years for which 
analyses are available) indicate that cigarette smoking and exposure to 
cigarette smoke are responsible for at least 480,000 premature deaths 
each year (id. at p. 659). However, this estimate does not include 
deaths caused by other combusted forms of tobacco, such as cigars and 
pipes (id. at 665).\6\

[[Page 11825]]

The three leading causes of smoking-attributable death for current and 
former smokers were lung cancer, heart disease, and COPD (id. at p. 
660). For every person who dies from a smoking-related disease, 
approximately 30 more people will suffer from at least one smoking-
related disease (Ref. 58).
---------------------------------------------------------------------------

    \6\ As discussed in Ref. 56, regular cigar smoking was 
responsible for approximately 9,000 premature deaths and more than 
140,000 years of potential life lost among adults aged 35 years or 
older in 2010. The 2014 Surgeon General Report states that the 
methodology for estimating the current population burden for use of 
combusted tobacco products other than cigarettes remains under 
discussion, but the number of added deaths is expected to be in the 
thousands per year (Ref. 7 at 665, 14 SG; citing Ref. 57).
---------------------------------------------------------------------------

    Cigarettes also have deadly effects on nonsmokers. From 2005 to 
2009, an estimated 7,330 lung cancer and 33,950 heart disease deaths 
were attributable to exposure to secondhand smoke (Ref. 7 at p. 660). 
It is also well established that secondhand tobacco smoke causes 
premature death and disease in children and in adults who do not smoke 
(see, e.g., Ref. 59 at p. 11). According to the Surgeon General's 
Report, ``50 Years of Progress: A Report of the Surgeon General, 
2014,'' which summarizes thousands of peer-reviewed scientific studies 
and is itself peer-reviewed, smoking remains the leading preventable 
cause of disease and death in the United States, and cigarettes have 
been shown to cause an ever-expanding number of diseases and health 
conditions (Ref. 7 at pp. 107-621). As stated in the 2014 Report, 
``cigarette smoking has been causally linked to disease of nearly all 
organs of the body, to diminished health status, and to harm to the 
fetus . . . [and] the burden of death and disease from tobacco use in 
the United States is overwhelmingly caused by cigarettes and other 
combusted tobacco products'' (Ref. 7 at p. 7).
    Other combusted tobacco products, particularly those that could be 
cigarette alternatives if users were unable to continue smoking 
cigarettes, cause similar negative health effects. For example, there 
is a long-standing body of research, including reports from the Surgeon 
General and National Cancer Institute (NCI), demonstrating that cigar 
use can cause serious adverse health effects (Ref. 31 at 119-155; Refs. 
60, 61, and 33). NCI's Smoking and Tobacco Control Monograph No. 9 
(``Cigars: Health Effects and Trends''), which provides a 
comprehensive, peer-reviewed analysis of the trends in cigar smoking 
and potential public health consequences, as well as other research, 
demonstrates that cigar smoking leads to an increased risk of oral, 
laryngeal, esophageal, pharyngeal, and lung cancers, as well as 
coronary heart disease and aortic aneurysm, with the magnitude in risk 
a function of the amount smoked and depth of inhalation (Ref. 31 at 
119-155). Research indicates that most cigar smokers do inhale some 
amount of smoke, even when they do not intend to inhale, and are not 
aware of doing so (Refs. 33 and 34). Even when cigar smokers do not 
breathe smoke into their lungs, they are still subject to the addictive 
effects of nicotine through nicotine absorption (Refs. 33 and 35). This 
is because cigar smoke dissolves in saliva, allowing the smoker to 
absorb sufficient nicotine to create dependence, even if the smoke is 
not inhaled (Refs. 35 and 62).
    Regular cigar smoking (which, in this study, constituted use on at 
least 15 of the past 30 days) was responsible for approximately 9,000 
premature deaths and more than 140,000 years of potential life lost 
among adults aged 35 years or older in 2010 (Ref. 56). Researchers also 
have found that the risk of dying from tobacco-related cancers is 
higher from current exclusive pipe smokers and current exclusive cigar 
smokers than for those who reported never using combusted tobacco 
products (Ref. 32).

IV. Requests for Comments and Information

    To aid in its consideration regarding development of a nicotine 
tobacco product standard, FDA is seeking comments, data, research 
results, and other information related to questions under the following 
topics: Scope of products to be covered, maximum nicotine level for a 
nicotine tobacco product standard, implementation, analytical testing, 
technical achievability, possible countervailing effects (including the 
potential for an illicit market), and other considerations. We ask that 
commenters clearly identify the section and question associated with 
their responsive comments and information.

A. Scope

    A tobacco product standard limiting the nicotine level in 
cigarettes could address one of our nation's greatest public health 
challenges: The death and disease caused by cigarette use. 
Approximately 480,000 people die every year from smoking cigarettes 
(Ref. 7). Cigarettes are the tobacco product category that causes the 
greatest burden of harm to public health as a result of the prevalence 
of cigarette use and the toxicity and addictiveness of these products. 
FDA hypothesizes that a tobacco product standard limiting the nicotine 
level in cigarettes could significantly increase the number of 
successful quit attempts by the majority of smokers seeking to quit 
smoking every year and potentially prevent experimenters from becoming 
regular smokers. However, if a standard were to apply to cigarettes 
only, it could be substantially less effective. Specifically, FDA 
expects that, to maintain their nicotine dose, some number of addicted 
cigarette smokers could migrate to other similar, combusted products 
(or begin to engage in dual use with such other products) after the 
standard went into effect, reducing the benefits of the product 
standard. Former smokers that choose to switch completely to a 
potentially less harmful nicotine delivery product (e.g., ENDS) to 
maintain their nicotine dose also would, to the extent that those 
products result in less harm, significantly reduce their risk of 
tobacco-related death and disease. Since the scope would impact the 
potential public health benefits of such a nicotine tobacco product 
standard, FDA is seeking comment on whether the standard should cover 
any or all of the following products: Combusted cigarettes (which FDA 
has previously interpreted to include kreteks and bidis), cigarette 
tobacco, RYO tobacco, some or all cigars, pipe tobacco, and waterpipe 
tobacco. FDA intends that any nicotine tobacco product standard would 
cover all brands in a product category and, therefore, those products 
currently on the market and any new tobacco products would be expected 
to adhere to the standard.
    FDA is continuing to weigh several factors as it considers the 
scope of products that should be subject to any potential nicotine 
tobacco product standard--including the strength and breadth of the 
available data derived from studies of VLNC cigarettes on the likely 
effects of reducing nicotine \7\ (as discussed in section IV.B); 
current prevalence and initiation rates for different classes of 
tobacco products; the available data on the toxicity, addictiveness, 
and appeal of the products; the use topography of the products 
(including quantity, frequency, and duration of use); and the potential 
for migration to, and dual use of, different products. Current VLNC 
cigarette literature indicates that reduction of nicotine in cigarettes 
would make it more likely for smokers (even those not currently 
expressing a desire to quit) to cease cigarette use (e.g., Refs. 4, 5, 
63, and 64). In light of these data, FDA also believes that reduction 
of nicotine could help prevent

[[Page 11826]]

experimenters from becoming addicted to tobacco, resulting in regular 
tobacco use.
---------------------------------------------------------------------------

    \7\ VLNC cigarettes do not contain uniform amounts of nicotine.
---------------------------------------------------------------------------

    Based on these considerations, FDA is seeking comment on whether 
any nicotine tobacco product standard should cover any or all of the 
following products:
     Combusted cigarettes (which FDA has previously interpreted 
to include kreteks and bidis),
     Cigarette tobacco,
     RYO tobacco,
     Cigars (some or all categories; i.e., small cigars, large 
cigars, cigarillos, and/or so-called premium cigars),
     Pipe tobacco, and
     Waterpipe tobacco.
    Please explain your responses and provide any evidence or other 
information supporting your responses to the following questions:
    1. If FDA were to propose a product standard setting a maximum 
nicotine level, should such a standard cover other combusted tobacco 
products in addition to cigarettes? If so, which other products? If FDA 
were to propose to include additional categories of combusted tobacco 
products in a nicotine tobacco product standard, should the standard be 
tailored to reflect differences in these products? What criteria should 
be used to determine whether, and which, products should be covered?
    2. Some suggest that large cigars and those cigars typically 
referred to as ``premium'' cigars should be regulated differently from 
other cigars, asserting that they are used primarily by adults and 
their patterns of use are different from those of regular cigars (81 FR 
28973 at 29024). FDA requests information and data on whether large 
and/or so-called premium cigars should be excluded from a possible 
nicotine tobacco product standard based on asserted different patterns 
of use, and whether large and/or so-called premium cigars would be 
migration (or dual use) candidates if FDA were to issue a nicotine 
tobacco product standard that excluded premium cigars from its scope. 
FDA also requests data and information on whether and how there is a 
way that, if FDA were to exclude premium cigars from the scope of a 
nicotine tobacco product standard, FDA could define ``premium cigar'' 
to include only unlikely migration or dual use products and thereby 
minimize such consequences.
    3. Should waterpipe tobacco products, which are different from 
regular pipe tobacco, be included in such a standard? Are there data 
showing different use topographies or that they are not likely to be 
migration substitutes or dual use candidates? If FDA were to issue a 
nicotine tobacco product standard that did not include waterpipe 
tobacco products within the scope, what would be the likelihood that 
former smokers would switch to waterpipe tobacco to maintain their 
nicotine addiction? What are the relative risk consequences of 
switching to waterpipe tobacco?

B. Maximum Nicotine Level

    As discussed throughout this document, nicotine is addictive and is 
the primary reason why many smokers who want to quit are unable to do 
so. Accordingly, FDA is considering developing a proposed product 
standard to make cigarettes minimally addictive or nonaddictive by 
setting a maximum nicotine level, using the best available science to 
determine a level that is appropriate for the protection of the public 
health. FDA has considered several peer-reviewed studies regarding very 
low nicotine content (VLNC) cigarettes \8\ and the likely effects of 
reducing nicotine in combusted tobacco. A 2013 survey paper noted that 
researchers initially estimated that reducing the total nicotine 
content of cigarettes to 0.5 mg per rod would minimize addictiveness 
and that a ``more recent analysis suggests that the maximum allowable 
nicotine content per cigarette that minimizes the risk of central 
nervous system effects contributing to addiction may be lower'' (Ref. 
2). The study authors concluded that ``[p]reventing children from 
becom[ing] addicted smokers and giving people greater freedom to stop 
smoking when they decide to quit by reducing the addictiveness of 
cigarettes is a policy that increasingly appears to be feasible and 
warranted'' (id.). We specifically request comment regarding this 
paper's conclusions and the possible impact of higher or lower maximum 
nicotine levels in a potential nicotine tobacco product standard.
---------------------------------------------------------------------------

    \8\ Scientific studies regarding VLNC cigarettes use both 
``yield'' and ``content'' to describe the amount of nicotine in 
research cigarettes. ``Yield'' is the International Organization for 
Standardization (ISO) machine-generated nicotine smoke yield, and 
``content'' refers to the nicotine in the tobacco filler of the 
entire finished product. ``Yield'' and ``content'' are not 
interchangeable terms. If neither ``yield'' nor ``content'' is used, 
the nicotine levels in these studies refer to content.
---------------------------------------------------------------------------

    Early ``light'' cigarettes achieved a reduction in machine-measured 
nicotine yield through a variety of means, including through the use of 
ventilation holes (although the actual nicotine content was not low). 
This increase in ventilation led to lower yields of nicotine in smoke 
as measured by smoking machines, and these products were marketed as 
low nicotine delivery or ``light'' cigarettes. However, cigarette users 
could modify their use behaviors to compensate for this increase in 
ventilation. For example, the vent holes could be easily blocked by 
users' fingers or mouths, and larger or more frequent puffs could be 
taken by consumers (Ref. 65). As a result, these products were designed 
to make them ``appear'' light to the user but could deliver as much 
nicotine to the user as high nicotine delivery cigarettes. The 
compensatory behaviors of the cigarette user were able to overcome the 
changes in ventilation in these higher ventilated products.
    VLNC cigarettes, in contrast, have relied on reducing nicotine 
content in the tobacco filler rather than engineering changes to the 
cigarette. Patents reveal that more than 96 percent of nicotine can be 
successfully extracted while achieving a product that ``was 
subjectively rated as average in smoking characteristics'' (Ref. 66) 
and that up to a 75 percent reduction in the nicotine contained in a 
tobacco leaf can be achieved with an ``effective and economical system 
for producing tobacco products . . . while maintaining other desirable 
ingredients for good taste and flavor'' (Ref. 67).
    In conventional cigarettes manufactured in the United States, 
nicotine accounts for approximately 1.5 percent of the cigarette 
weight, or 10-14 mg of nicotine per cigarette (Refs. 68-71) and 
generally have nicotine yields in the 1.1 mg to 1.7 mg (Ref. 31 at p. 
67). Certain VLNC cigarettes have much lower nicotine yields than 
conventional cigarettes--in the 0.02-0.07 mg nicotine/cigarette range--
due to product changes that the user cannot overcome (Ref. 72). 
Reducing the nicotine in the finished tobacco product places an 
absolute maximum limit on the amount of nicotine that can be extracted 
by the user in a given cigarette, unlike modifications such as 
ventilation holes, which affect nicotine yield in smoke but can be 
overcome through user behavior. See section IV.C of this document for a 
discussion of possible compensatory smoking under a single target 
approach or a stepped down approach to nicotine reduction.
1. VLNC Cigarettes
    The first VLNC cigarettes studied by researchers were produced by 
Philip Morris and marketed under the brand name ``Next,'' which was 
reported to contain 0.4 mg nicotine/g of tobacco filler (Ref. 73). 
Later, the National Institute for Drug Abuse (NIDA) contracted with the 
Ultratech/Lifetech

[[Page 11827]]

Corporation \9\ to produce VLNC cigarettes for research purposes (Ref. 
74; Ref. 75). The two types of cigarettes produced were: (1) 1.1 mg/
cigarette (cig) ISO smoke nicotine (7.2 mg nicotine/cig in filler) and 
(2) 0.07 mg/cig ISO smoke nicotine (filler levels were reported as 0, 
but FDA has estimated these levels to be between 0.4 and 0.5 mg/cig) 
(Ref. 74).
---------------------------------------------------------------------------

    \9\ Both Ultratech and Lifetech have been reported as being the 
company through which NIDA manufactured research cigarettes.
---------------------------------------------------------------------------

    Researchers also have used Quest cigarettes, produced by Vector 
Tobacco, to study the impact of reduced nicotine (Ref. 76). To provide 
consumers with reduced risk tobacco products, companies like 22nd 
Century are using genetic engineering and plant breeding to produce 
very low nicotine tobacco for incorporation into cigarettes. In 2014, 
the company was granted patents for its process to virtually eliminate 
the nicotine in tobacco plants (Ref. 77). Further, low-nicotine 
cigarettes are produced and distributed for research purposes by 
Research Triangle Institute (RTI), under a contract for the NIDA's Drug 
Supply Program (Ref. 78). 22nd Century is acting as a vendor for RTI 
for this contract manufacturing Spectrum cigarettes that contain 0.4 mg 
nicotine/gram (g) of tobacco filler (id). Finally, Philip Morris 
manufactured cigarettes with varying nicotine levels for research only 
(Ref. 79). FDA requests data and information regarding the risks to 
smokers from inhalation of VLNC cigarette smoke.
    Table 1 includes a list of VLNC cigarettes used in research studies 
and their reported nicotine levels.

 Table 1--Filler Nicotine and ISO Nicotine Delivery for Low and Very Low
    (*) Nicotine Cigarettes Made Available Either Commercially or for
                                Research
------------------------------------------------------------------------
                                       Filler nicotine     ISO Nicotine
         Type of cigarette           level (mg/g or mg/    delivery (mg/
                                            cig)               cig)
------------------------------------------------------------------------
Quest 1...........................  12.5 mg/g; 8.9 mg/               0.6
                                     cig.
Quest 2...........................  6.4 mg/g; 5.1 mg/cig             0.3
Quest 3...........................  1.0 mg/g; 0.4 mg/cig            *0.5
Ultratech/Lifetech................  10.3 mg/g \1\; 7.2               1.1
                                     mg/cig.
Ultratech/Lifetech\2\.............  0.6-0.7 mg/g \1\;             *<0.06
                                     0.4-0.5 mg/cig.
Next..............................  0.4 mg/g............           *0.08
Spectrum high nicotine............  11.4-12.8 mg/g......         0.6-1.0
Spectrum intermediate nicotine....  5.7-5.8 mg/g........             0.3
Spectrum low nicotine.............  0.4 mg/g............          *<0.04
Philip Morris 12 mg (for research   14.4 mg/g \1\; 10.1              0.9
 only).                              mg/cig.
Philip Morris 8 mg (for research    10.6 mg/g \1\; 7.4               0.6
 only).                              mg/cig.
Philip Morris 4 mg (for research    5 mg/g \1\; 3.5 mg/              0.3
 only).                              cig.
Philip Morris 2 mg (for research    2.1 mg/g \1\; 1.5 mg/            0.2
 only).                              cig.
Philip Morris 1 mg (for research    0.9 mg/g \1\; 0.6 mg/            0.1
 only).                              cig.
------------------------------------------------------------------------
\1\ mg/g or mg/cigarette (cig) was calculated based on an estimate of
  0.7 g of tobacco per cigarette (Ref. 80).
\2\ Filler nicotine level was reported as 0 mg/cig, but FDA estimates
  the cigarette contained 0.4-0.5 mg/cig.

2. Estimate of Addiction Threshold Levels
    In 1994, certain scientists proposed the idea of federal regulation 
of nicotine content, which could result in lower intake of nicotine and 
a lower level of nicotine dependence (Ref. 81). However, FDA 
acknowledges that there is individual variability in dose sensitivity 
to all addictive substances, making it difficult to determine a single 
addiction threshold which would apply across the population. A proposal 
to lower the nicotine in conventional cigarettes, or any tobacco 
product, could merit consideration only if there were a threshold 
nicotine exposure level below which the nicotine did not produce 
significant reinforcing effects or sustain addiction in a majority of 
the population. FDA continues to assess VLNC cigarette studies 
analyzing addiction threshold levels, as discussed in this section.
    Four primary study types speak to the level of nicotine in tobacco 
that could significantly reduce product addictiveness. The first type 
uses indirect estimates based on information in humans regarding 
nicotine intake in smokers who appear not to be addicted to nicotine to 
estimate a likely threshold level. A second type includes studies of 
VLNC use by study participants that have reported increased quit 
attempts and cessation even in smokers not interested in quitting. A 
third type includes studies that have revealed reduced positive 
subjective effects and increased negative effects in VLNC smokers. The 
fourth type includes studies measuring nicotine receptor binding, which 
indicate that use of VLNC cigarettes yields significantly lower 
nicotinic acetylcholine receptor (nAChR) occupancy and cerebral 
response.
    a. Indirect estimates of an addiction threshold. In 1994, 
researchers conducted a review to explore indirect estimates of an 
addiction threshold by focusing on the smoking habits of a small 
population of smokers who demonstrate reduced nicotine dependence, as 
compared to other smokers (a group sometimes referred to as tobacco 
``chippers'') (Ref. 81, citing Ref. 82,). In the 1994 review, 
researchers suggested that a threshold level of nicotine per cigarette 
should be low enough to prevent or limit the development of nicotine 
addiction in most young people, while providing enough nicotine for 
taste and sensory sensation (e.g., Ref. 81). These researchers found 
that based on existing studies at the time, ``an absolute limit of 0.4 
to 0.5 mg of nicotine per cigarette should be adequate to prevent or 
limit the development of addiction in most young people. At the same 
time, it may provide enough nicotine for taste and sensory 
stimulation'' (id.), which FDA interprets to mean that there would be 
enough nicotine for an experienced user to tell that there is nicotine 
in the tobacco product.
    In another study seeking to estimate a reinforcement threshold, 
scientists reviewed several studies, including one in which abstinent 
smokers received intravenous nicotine injections by pulling a lever in 
a fixed ratio task (Ref.

[[Page 11828]]

83). The authors found that studies using intravenous nicotine 
administration suggest that the nicotine reinforcement threshold (i.e., 
the minimum amount of nicotine intake required to initiate or maintain 
self-administration) is between 1.5 to 6.0 micrograms/kg in humans and 
3 to 10 micrograms/kg in rats (Ref. 84). Although the study's authors 
noted potential limitations (i.e., intravenous delivery does not mimic 
inhalation, administration of nicotine alone omits other psychoactive 
constituents in tobacco smoke, and other factors such as age, sex, and 
genetic variations may influence nicotine's reinforcing properties) 
(Ref. 84), the lowest dose in the study overlaps with the upper limit 
of an addiction threshold estimated by the 1994 study (Ref. 81). 
Despite the study limitations of both these estimates, they help 
provide a range on which to potentially base a nicotine level 
threshold.
    b. Findings of increased cessation for VLNC cigarettes. Several 
studies indicate that people using significantly reduced nicotine 
content cigarettes (as low as 0.4 mg nicotine/g of tobacco filler) are 
more likely to consider cessation (i.e., consider reducing cigarette 
intake as a step towards cessation or consider fully ceasing cigarette 
intake), even if they had not previously considered quitting (see, 
e.g., Refs. 4, 5, 63, and 64). These studies were not investigating 
VLNC cigarettes as cessation aids.
    Some studies showed that switching to VLNC cigarettes results in a 
reduced number of cigarettes smoked per day (Ref. 4; Ref. 76), reduced 
nicotine dependence (Refs. 4, 84, and 85), and minimal evidence of 
withdrawal distress and increased depression (Ref. 64, Ben 12; Refs. 
85-87). On the other hand, other researchers have reported the use of 
VLNC cigarettes did not change the number of cigarettes smoked per day 
(Refs. 86 and 88), but they did observe reductions in cotinine and 
carbon monoxide levels. For example, in the Benowitz et al. 2015 study 
(Ref. 86), where researchers progressively lowered nicotine content 
over 7 months, the authors found that, after the 7 months of VLNC 
cigarette use, nicotine intake remained below baseline (i.e., plasma 
cotinine at 149 ng/ml vs. 250 ng/ml). The Mercincavage et al. study 
(Ref. 88), a randomized study of smokers progressively decreasing 
nicotine content over three ten day periods, also yielded mixed results 
regarding harm exposure. The researchers found that certain biomarkers 
of exposure to toxic tobacco-related constituents (i.e., cotinine and 
NNAL) decreased with decreases in nicotine content, but there was no 
effect on the biomarker 1-hydroxpyrene (1-HOP) (Ref. 88). One 
limitation of these studies is that they were conducted in an 
unregulated environment in which smokers continued to have access to 
the normal nicotine content (NNC) cigarettes.
    One of the more recent studies (Ref. 85) on this issue was a 
double-blind, parallel, randomized clinical trial conducted between 
June 2013 and July 2014 that evaluated 840 participants (780 completed 
the 6-week study) who were not interested in quitting smoking. During 
the sixth week of the study, the average number of cigarettes smoked 
per day was lower for participants randomly assigned to cigarettes 
containing 2.4, 1.3, or 0.4 mg of nicotine per gram of tobacco (16.5, 
16.3, and 14.9 cigarettes per day, respectively) than for those 
assigned to their usual cigarette brand or those cigarettes containing 
5.2 or 15.8 mg per gram (22.2 and 21.3 cigarettes per day, 
respectively) (Ref. 85). Those participants using cigarettes with the 
lowest nicotine content (0.4 mg per gram nicotine/gram of tobacco 
filler, demonstrated reduced dependence, and use of reduced nicotine 
cigarettes, including the VLNC cigarettes, with minimal evidence of 
withdrawal-related discomfort or safety concerns (id.). The authors 
concluded that this study provides ``preliminary-short term data . . . 
[that] suggest that if nicotine content is adequately reduced, smokers 
may benefit by smoking fewer cigarettes and experiencing less nicotine 
dependence, with few negative consequences'' (id.).
    While these results, taken together with other studies, are 
promising, FDA acknowledges the inherent limitations of the available 
research on changes in smoking as a function of VLNC cigarettes use. As 
noted by the investigators of the 2015 double-blind, parallel, 
randomized clinical trial, ``no large-scale clinical trials of reduced 
nicotine cigarettes have been conducted. Furthermore, little is known 
about the dose-related effects of reduced nicotine. Data derived from 
trials assessing a range of reduced-nicotine cigarettes are critical 
for providing an empirical basis for regulatory decisions pertaining to 
nicotine product standards'' (Ref. 85). As a result, FDA requests 
submission of additional data that may be used to explore further the 
hypotheses presented in this ANPRM (e.g., extended duration studies) 
and supports the development of additional studies to further analyze 
these conclusions.
    c. Subjective effects and relief of withdrawal symptoms associated 
with VLNC cigarettes. Individuals who smoke VLNC cigarettes experience 
some of the same subjective effects as those individuals who smoke 
traditional, NNC cigarettes. For example, VLNC users report 
experiencing reductions in certain physiological withdrawal symptoms 
(e.g., craving, anxiety, irritability, depression) but do not 
experience other symptoms associated with full nicotine content 
cigarettes (e.g., relief of physical withdrawal symptoms, increased 
stimulation and alertness, reduction in restlessness) (Refs. 44, 72, 
74, 75, 89-93). Exposure over multiple days generally leads to a 
reduction in cigarettes smoked per day (Ref. 87). Furthermore, 
physiological responses after VLNC cigarettes, such as the increase in 
heart rate that is typically observed following nicotine 
administration, are less than those seen with higher nicotine 
cigarettes and are absent in some cases (Ref. 74, 94, and 95). Thus, it 
appears that transitioning to VLNC cigarettes (from NNC cigarettes) may 
result in some behavioral and physiological responses commonly 
experienced when using standard NNC cigarettes (e.g., reduced appetite, 
increased alertness). These responses, where present, are lower than 
those seen with standard nicotine cigarettes and get progressively 
lower over time.
    d. Lower nAChR occupancy and cerebral response from the use of VLNC 
cigarettes. VLNC cigarettes contain some nicotine, albeit at very low 
levels. Although there is enough nicotine in VLNC cigarettes to bind to 
acetylcholine receptors in the brain, there is not enough to 
consistently produce the full range of subjective responses (i.e., 
those responses based on or influenced by individual, internal 
perceptions or experiences) observed following use of NNC cigarettes 
(Refs. 74, 92, 96, and 97). Therefore, VLNC cigarettes may not produce 
the full range of subjective effects as NNC cigarettes. This supports 
the hypothesis that many subjective and physiological effects observed 
following exposure to smoke from VLNC cigarettes could be due to 
repeated pairing of nicotine with sensory and conditioned cues or to 
other psychoactive chemicals. Given that these subjective and 
physiological effects have been directly linked to nicotine, it is 
likely that they are learned responses through repeated pairing with 
nicotine and not due to other chemicals in the smoke.
    Please explain your responses and provide any evidence or other 
information supporting your responses to the following questions:
    1. The Tobacco Control Act prohibits FDA from reducing nicotine 
yields in any combusted tobacco product to zero

[[Page 11829]]

(section 907(d)(3) of the FD&C Act). If FDA were to propose a maximum 
nicotine level for cigarettes, what should be the maximum level to 
ensure that the product is minimally addictive or nonaddictive, using 
the best available science to determine a level that is appropriate for 
the protection of the public health? Rather than establishing a 
nicotine target to make products ``minimally addictive'' or 
``nonaddictive,'' should FDA consider a different threshold (e.g., less 
addictive than current products on the market)? How should the maximum 
level be measured (e.g., nicotine yield, nicotine in cigarette filler, 
something else)? What would be the potential health impacts of 
requiring a maximum nicotine level such as 0.4 mg nicotine/g of tobacco 
filler? FDA is interested in public health impacts of requiring 
different maximum nicotine levels, such as 0.3, 0.4, and 0.5 mg 
nicotine/gram of tobacco filler, as well as other maximum nicotine 
levels and solicits comments about the potential health impacts of 
different maximum levels.
    2. FDA lists four types of studies to estimate the threshold of 
nicotine addiction (i.e., indirect estimates; findings of increased 
cessation for VLNC cigarettes; subjective effects, craving, and 
withdrawal associated with VLNC cigarettes; and lower nAChR occupancy 
and cerebral response from the use of VLNC cigarettes). Should FDA rely 
on some or all of these types of studies? Why or why not? Is there a 
different method that FDA should investigate or use to determine the 
threshold for nicotine addiction?
    3. In addition to nicotine, minor tobacco alkaloids (including 
nornicotine, cotinine, anabasine, anatabine, and myosamine) and tobacco 
smoke aldehydes (such as acetaldehyde) are pharmacologically active and 
may contribute to addiction (see, e.g., Refs. 98 and 99). Researchers 
have investigated the abuse potential of nornicotine, cotinine, 
anabasine, and acetaldehyde in animals (Ref. 100). However, many of 
these compounds are only present in tobacco smoke at low levels and are 
likely less potent than nicotine in mediating pharmacological response 
and, therefore, reinforcement (Refs. 101 and 102). In addition to 
setting a maximum nicotine level, should the product standard also set 
maximum levels of other constituents (e.g., nornicotine, acetaldehyde, 
anabasine) that may have the potential to produce dependence and be 
addictive? If so, at what levels?
    4. If FDA were to finalize a nicotine tobacco product standard, 
what is the potential that adults and adolescents would perceive these 
VLNC cigarettes as ``safe''--and how could youth and adult risk 
perceptions of these cigarettes impact initiation, use, and cessation 
habits of combusted tobacco products?

C. Implementation (Single Target vs. Stepped-Down Approach)

    If FDA were to issue a product standard establishing a maximum 
nicotine level for cigarettes, such a standard would need to either 
propose a single target (where the nicotine is reduced all at once) or 
a stepped-down approach (where the nicotine is gradually reduced over 
time through a sequence of incremental levels and implementation dates) 
to reach the desired maximum nicotine level. Some have suggested that 
any maximum nicotine level should be established as a single target 
(rather than a stepped-down approach) to limit exposure to harmful 
tobacco while providing similar cessation rates to those that could 
occur with a stepped-down approach. Some level of compensatory smoking 
behavior (i.e., smokers seeking to obtain the amount of nicotine they 
need to sustain their addiction by smoking more cigarettes per day, 
taking more and deeper puffs, and/or puffing with a faster draw rate) 
theoretically could occur under either a single target or stepped-down 
approach and could impact the public health benefits of a possible 
nicotine tobacco product standard. According to studies involving VLNC 
cigarettes and other reduced nicotine cigarettes, researchers expect 
there could be very little or no compensatory smoking with a single 
target approach and that it would be self-limiting (i.e., smokers would 
be unable to obtain their nicotine dose from cigarettes no matter how 
they smoke them and eventually would stop trying to do so), which could 
maximize the benefits of such a tobacco product standard (Refs. 3-5). 
If individuals were to engage in compensatory smoking with a single 
target approach, researchers find that any compensatory smoking at the 
maximum nicotine levels that FDA is considering here could only be 
minimal and transient (e.g., Refs. 103, 104, 92, and 93).
    In contrast, during a stepped-down approach, tobacco users may 
attempt to compensate for the loss of nicotine during the early stages 
of a stepped-down approach by smoking additional tobacco products or by 
smoking more intensely, since the intermediate-stage products could 
allow for extraction of nicotine through such efforts in a way that 
VLNC cigarettes would not (e.g., Refs. 64, 76, and 105).\10\
---------------------------------------------------------------------------

    \10\ However, the IOM has cited one study showing that when 
nicotine content is stepped down, smokers do not engage in 
compensatory smoking when nicotine is extracted from tobacco and, 
therefore, do not increase their toxic exposures (Ref. 13 at p. 
349).
---------------------------------------------------------------------------

    FDA is aware of several studies that have demonstrated the impact 
of an immediate (e.g., Refs. 53, 106-108) or a stepped-down approach 
(Ref. 64) to nicotine reduction on smoking cessation outcomes. 
Researchers have found that the single target approach may be 
associated with better cessation outcomes. Data from the International 
Tobacco Control Policy Evaluation 4-Country Survey, a telephone survey 
of more than 8,000 adult smokers in the United States, the United 
Kingdom, Canada, and Australia, illustrates the cessation benefits from 
abrupt abstinence from cigarettes (``cold turkey'') when compared to a 
gradual reduction of smoking prior to complete abstinence (``cut 
down'') (Ref. 109). While this differs from the approaches considered 
in this ANPRM, it provides helpful insight into the effects of a 
gradual vs. single change in nicotine intake. Researchers concluded 
that immediate nicotine cessation was ``clearly associated with more 
successful outcomes'' (Ref. 109). Scientists also found higher 
abstinence rates for those using the single target approach in studies 
comparing two levels of commercial low-yield nicotine cigarettes and 
nicotine lozenges (Ref. 4).
    Nevertheless, some studies have found that both reduction 
strategies increase a smoker's probability of cessation. For example, 
in a study of smokers with no strong preference for a quitting method 
who were randomly assigned to study arms requiring either that they 
quit immediately or gradually reduce their cigarette consumption over 2 
weeks, both the immediate and gradual cessation methods produced 
similar results (Ref. 110). Likewise, in a meta-analysis of 10 studies 
to determine the impact of stepped reduction of nicotine versus a 
single nicotine target in participants interested in quitting smoking, 
scientists determined that a stepped reduction in nicotine ``provides 
similar quit rates to abrupt quitting with no evidence that one method 
is significantly superior to the other in adults trying to quit 
smoking'' (Ref. 111 at p. 13) and concluded that there were no 
additional cessation benefits for the stepped-down approach (Ref. 111 
at p. 2).
    FDA understands the argument that a stepped-down approach to 
limiting the nicotine levels in tobacco products

[[Page 11830]]

could undermine the public health goals of such a standard by allowing 
for prolonged exposure to tobacco-related toxicants during the step-
down period. Although both approaches likely would result in comparable 
quit rates eventually, some studies have indicated a greater likelihood 
of cessation success with the use of a single target. In addition, 
preliminary studies show that a single target approach could limit 
further exposure to harmful tobacco (when compared with the stepped-
down approach to limiting nicotine levels). FDA continues to weigh 
these factors, and will consider the information submitted in response 
to this ANPRM, as it decides the appropriate approach for a potential 
nicotine tobacco product standard.
    Please explain your responses and provide any evidence or other 
information supporting your responses to the following questions:
    1. What data are available to demonstrate that a single target 
approach to reach a maximum nicotine level would or would not result in 
any unintended consequences?
    2. In the alternative, what data are available to demonstrate that 
a stepped-down approach involving a sequence of incremental levels and 
implementation dates to reach a proposed nicotine level would or would 
not result in any unintended consequences?
    3. If FDA were to select a stepped-down approach for a nicotine 
tobacco product standard, what scientific evidence exists to support 
particular interim nicotine levels and the appropriate number of steps 
that would be needed to reach the target level?
    4. Would a single target and a stepped-down approach for 
implementation result in comparable quit rates or reduced initiation 
rates?
    5. What would be the likely implementation differences, including 
implementation timelines and transition costs, between a single target 
approach or a stepped-down approach involving a sequence of incremental 
levels and implementation dates?

D. Analytical Testing Method

    As part of its consideration regarding a potential nicotine tobacco 
product standard, FDA is also considering whether such a product 
standard should specify a method for manufacturers to use to detect the 
level of nicotine in their tobacco products. FDA believes that the 
results of any test method to measure the nicotine in combusted tobacco 
products should be comparable across different accredited testing 
facilities and products. It is critical that the results from the test 
method demonstrate a high level of specificity, accuracy, and precision 
in measuring a range of nicotine levels across a wide variety of 
tobacco blends and products.
    A variety of methods have been in development that allows nicotine 
in tobacco or tobacco product filler to be quantified for various 
products. For example, two Cooperation Centre for Scientific Research 
Relative to Tobacco (CORESTA) methods have undergone round-robin method 
validation studies in accordance with ISO 5725-1 through ISO 5725-2: 
(1) Continuous flow analysis (CFA) and (2) gas chromatography-flame 
ionization detector (GC-FID). The CFA method measured a nicotine range 
of 0.69-3.30 percent (or 6.9-33 mg/g) in burley and flue-cured tobaccos 
and exhibited a repeatability range of 0.03-0.17 and a reproducibility 
range of 0.12-0.67, dependent on the mean (Ref. 112). A GC-FID method 
for determining nicotine in fermented extractions from tobacco leaves 
was validated in accordance with FDA and International Council for 
Harmonization of Technical Requirements for Registration of 
Pharmaceuticals for Human Use specifications, including specificity, 
linearity, precision, accuracy, and robustness (Ref. 113). Gas 
chromatography-mass spectrometry (GC-MS) was used as the confirmation 
technique in this study, in which a recovery of 117.8 percent was 
achieved; recovery was within FDA guidelines (<120 percent) (Ref. 113). 
Nicotine content of 0.43 percent (4.3 mg/g) in the extract was reliably 
measured and stability testing on this same extract was conducted for 
360 days (id.). In addition, the WHO's Tobacco Laboratory Network 
(TobLabNet) has developed a standard operating procedure for 
determination of nicotine in cigarette tobacco filler using gas 
chromatography (Ref. 114). The WHO's TobLabNet determined that this 
method is suitable for the quantitative determination of nicotine in 
cigarette tobacco filler by gas chromatography (GC) (id.).
    We also note that ISO 10315 and CORESTA Method No. 62 have been 
used in substantial equivalence reports submitted to the Agency. ISO 
10315 is a method for analyzing nicotine in smoke. With this method, 
conditioned cigarettes are smoked under ISO 4387 conditions and smoke 
is captured on a Cambridge filter pad and extracted in propan-2-ol 
containing internal standard such as n-heptadecane or quinaldine 
(carvone or n-octadecane are other alternatives to internal standards) 
and analyzed immediately using GC coupled with flame ionization 
detection (Ref. 115).
    CORESTA Method No. 62 is a standard method used to analyze nicotine 
in tobacco filler and smokeless tobacco products (Ref. 116). This 
method describes extraction of nicotine in solid tobacco in basified 
extraction solution (using sodium hydroxide to deprotonate the nicotine 
in solution) of either hexane containing n-heptadecane or quinaldine 
internal standards or basified extraction solution (using sodium 
hydroxide) of methyl-t-butyl ether solution containing quinoline 
internal standard (id.).
    FDA is also aware of other methods that have been used to analyze 
nicotine levels. Such methods include GC combined with various 
detectors, GC-MS with solid-phase microextraction as a preconcentration 
step for low detection, other formats of GC-FID, capillary 
electrophoresis combined with either ultraviolet (UV) or 
electrochemical detection, and alternative chromatography techniques 
including supercritical fluid chromatography-ion mobility detection 
(Ref. 117), reversed phase ion-pair liquid chromatographic extraction 
(Ref. 118), and high-pressure liquid chromatography with UV detection 
(Ref. 119).
    Please explain your responses and provide any evidence or other 
information supporting your responses to the following questions:
    1. If FDA were to issue a product standard, should the Agency 
require a standard method of product testing to analyze the nicotine 
levels in products subject to the standard? If so, what method or 
methods should FDA use?
    2. Should the Agency require manufacturers to sample their products 
in a specific manner to ensure that products do not contain excess 
levels of nicotine? Should manufacturers be required to test each 
manufactured batch to ensure compliance with a product standard 
limiting nicotine levels? What criteria should be used to determine if 
a batch passes or fails testing?

E. Technical Achievability

    FDA continues to analyze the technical achievability of a maximum 
nicotine level for cigarettes as part of its overall assessment of how 
best to implement this authority and is seeking comments from 
interested parties regarding this issue, including with respect to the 
technical achievability of such a standard for small cigarette and/or 
small combusted tobacco product manufacturers.

[[Page 11831]]

    The industry and consumer product companies have developed versions 
of denicotinized cigarettes and a range of brands with differing 
nicotine levels. By blending tobaccos based on nicotine levels, tobacco 
companies have manufactured their products to specifications that 
ensure the final product will have precise levels of nicotine and have 
ensured that nicotine levels vary only minimally within cigarette packs 
and from pack to pack (60 FR 41453 at 41505, 41509, August 11, 1995). 
In fact, the tobacco industry has had programs in place since the 1960s 
to obtain ``any level of nicotine desired'' (Ref. 120, citing Ref. 
121). The industry also has recognized that the techniques it has used 
to increase nicotine levels can be used to reduce nicotine levels as 
well (60 FR 41453 at 41722).
    As previously described, VLNC cigarettes have been produced since 
the 1970s. During this time, NCI contracted for production of a line of 
cigarettes with widely varying nicotine concentrations (Ref. 122, 81 
SG). In the late 1980s, a major cigarette manufacturer had plans to 
develop VLNC cigarettes with a reduction in mainstream nicotine yields 
of greater than 95 percent (Ref. 123). More recently, 22nd Century, 
acting as vendor for RTI's contract with NIDA, has developed 
cigarettes, not currently commercially available, that are similar in 
many sensory characteristics to conventional cigarettes but with 
extremely low nicotine levels (Refs. 54, 124, and 125).
    Significant reductions of nicotine in combusted tobacco products 
can be achieved principally through tobacco blending and cross-breeding 
plants, genetic engineering, and chemical extraction. Agricultural 
practices (e.g., controlled growing conditions, fertilization, harvest) 
as well as more recent, novel techniques also can help to reduce 
nicotine levels. One or a combination of these processes could be used 
to achieve the nicotine levels that FDA is considering for a nicotine 
tobacco product standard.
1. Tobacco Blending/Cross Breeding
    Most of the cigarettes sold in the United States are blended 
cigarettes (Ref. 126). A tobacco industry executive previously 
testified that the main component of a cigarette that contributes to 
nicotine delivery is the tobacco blend and that year-to-year crop 
variation does not determine the nicotine content in a cigarette (Ref. 
127). The term ``leaf blending'' describes the selection of tobaccos to 
be used in a product by tobacco type (e.g., flue-cured, burley, 
oriental), geographical origin, year, and grade of the tobacco (Ref. 
128). Blend differences can produce significant variations in nicotine 
concentration in the tobacco rod, leading to differences in smoke 
composition and yield (Ref. 120 at p. 469). Grading, which is used to 
evaluate and identify differences within tobacco types and is a 
function of both plant position (i.e., higher or lower on the stalk) 
and of quality (i.e., ripeness), and segregation of grades by nicotine 
content, already has become common practice (Ref. 128 at p. 2-3).
    Many tobacco lines are available, including approximately 1,000 
different tobacco varieties (Ref. 126). The tobacco industry has used 
breeding and cultivation practices to develop high nicotine tobacco 
plants to give manufacturers greater flexibility in blending and in 
controlling the amount of nicotine to be delivered (60 FR 41453 at 
41694). These practices could be used to develop low nicotine plants as 
well. In fact, tobacco industry documents show that in the 1960s, 
tobacco companies recognized the increasing demand for low nicotine 
tobacco and began instituting projects that found that low nicotine 
cigarettes can be made by selecting grades of tobacco with low nicotine 
content (Ref. 128; citing Ref. 129; Ref. 130).
    Because the nicotine content of tobacco plants varies, 
manufacturers could replace more commonly used nicotine-rich varieties 
like Nicotiana rustica with lower nicotine varieties (Ref. 131). 
Oriental Turkish-type cigarettes also deliver substantially less 
nicotine than cigarettes that contain air-cured Burley tobacco (Ref. 
120; citing Ref. 132). In addition, manufacturers could select specific 
tobacco seedlings that are low in nicotine and plant only those low 
nicotine seedlings (Ref. 133). Even without this selective breeding, 
manufacturers could use careful tobacco leaf purchasing plans to 
control the nicotine content in their products (60 FR 41453 at 41694). 
By maintaining awareness of the differences and monitoring the levels 
in purchased tobacco, companies could produce cigarettes with nicotine 
deliveries consistent to one-tenth of one percent (despite variations 
of up to 25 percent in the nicotine content of the raw material grown 
in the same area, from year to year) (60 FR 41453 at 41694).
    The position of leaves on the plant stalk also affects nicotine 
levels; tobacco leaves located near the top of the plant can contain 
higher concentrations of nicotine and lower stalk leaves generally 
contain lower nicotine levels (Ref. 114; Ref. 120). For example, flue-
cured tobacco leaves harvested from the lowest stalk position may 
contain from 0.08 to 0.65 percent nicotine, whereas leaves from the 
highest positions may contain between 0.13 and 4.18 percent nicotine 
(Ref. 126, citing Ref. 134). Therefore, substituting leaves found lower 
on the plants could reduce the nicotine content of tobacco products 
(Ref. 131).
    A number of internal tobacco industry documents describe the use of 
leaf blending and tobacco selection to control the nicotine content of 
cigarettes (Ref. 128 at p. 3). For example, one company project 
determined that low nicotine cigarettes can be made by selecting grades 
of tobacco with low nicotine content (Ref. 128 at p. 3, citing Ref. 
135). Another observed that the demand for low nicotine tobacco has 
increased worldwide and necessitated a shift in purchasing standards 
(Ref. 128 at p. 3, citing Ref. 136).
2. Chemical Extraction
    Nicotine also can be removed from tobacco via chemical extraction 
technology. By the 1970s, tobacco manufacturers regularly practiced 
nicotine extraction as a method to control nicotine delivery (Ref. 128, 
citing Ref. 137; Refs. 138 and 139). Extraction methods include water 
extraction (coupled with steam or oven drying), solvent extraction, and 
extractions of nicotine without usable leaf (Ref. 128). Supercritical 
fluid extraction also yielded success in the 1990s, allowing for 
optimum extraction times and the elimination of more time-consuming 
steps (Refs. 140 and 141). FDA notes that there are existing patents 
for chemical extraction of nicotine in tobacco, which reveal that more 
than 96 percent of nicotine can be successfully extracted while 
achieving a product that ``was subjectively rated as average in 
nicotine characteristics'' (Refs. 142 and 66).
    In addition, a major tobacco manufacturer has used a high-pressure 
carbon dioxide process similar to the process used to decaffeinate 
coffee. In this process, tobacco leaf is treated with ammonium salt, 
then treated with carbon dioxide/water vapor, which has achieved a 95 
to 98 percent reduction in nicotine (Ref. 133, citing Ref. 143) 
Although some manufacturers believe that previous water extraction 
practices may have rendered the tobacco ``unsuitable for use,'' other 
water extraction projects yielded suitable smoking material with 
sizeable nicotine reductions (80 to 85 percent reduction in leaf 
nicotine) (Ref. 128, citing Ref. 144; Refs. 145 and 146).

[[Page 11832]]

3. Genetic Engineering
    Tobacco industry scientists have long recognized the potential for 
genetic engineering to control nicotine content (Ref. 147). The first 
practical application of biotechnology by a major tobacco manufacturer 
was the development of low nicotine tobacco in the 1980s, which led to 
the receipt of a patent for biotechnology for altering nicotine in 
tobacco plants (Refs. 133 and 148). Other tobacco researchers and major 
manufacturers also recognized the value of biotechnology for developing 
low nicotine tobacco for cigarettes, including for use as part of a 
smoking cessation program (Ref. 149).
    Several American and international tobacco companies genetically 
engineered low nicotine varietals in the 1960s and 1970s, including a 
strain with nicotine levels as low as 0.15 percent (Ref. 128; citing 
Refs. 150-155). During that time period, the Kentucky Tobacco Research 
Board worked on genetic strains of low nicotine tobacco (with a 
nicotine content of 0.2 percent) to be used for experimental studies on 
the role of nicotine in smoking behavior (Ref. 128, citing Refs. 156-
159). In addition, Canadian researchers examined low nicotine strains 
of tobacco, particularly in association with efforts to develop a 
strain of flue-cured or air-cured tobacco that would be suitable as the 
base material for reconstituted tobacco (Ref. 128, citing Refs. 151 and 
160). In 2003, Vector Tobacco began marketing the Quest cigarette, 
which was produced from genetically modified tobacco and contained only 
trace amounts of nicotine (Ref. 133) (this product is no longer on the 
market). Genetic engineering has resulted in reductions of nicotine 
levels in the range of 80 to 98 percent (id.). In 2014, the U.S. Patent 
and Trademark Office granted two patents for two genes that may be 
suppressed to achieve a substantial decrease in nicotine in tobacco 
plants (Ref. 161).
4. Other Practices
    Industry studies have shown that changes to growing and harvesting 
practices affect the development of tobacco chemistry, including 
nicotine content (Ref. 128). Some manufacturers have revised their 
agricultural practices specifically to meet new product development 
goals, such as the production of low nicotine tobacco (id.). For 
example, one manufacturer evaluated various experimental agricultural 
practices that could affect the tobacco's chemistry, including bulk-
curing, once-over harvesting, and high plant density (id., citing Ref. 
162). In other cases, chemical agents were observed to reduce nicotine 
content (Ref. 128 citing Refs. 163-165).
    After growers harvest tobacco, it is cured and aged before use in 
tobacco products. The aging process naturally changes the chemistry of 
the tobacco, including some reduction in nicotine content (Ref. 128). 
At least one manufacturer has explored efforts to speed up the process 
of aging tobacco, in part to alter or limit the changes in chemistry 
that naturally occur (id., citing Ref. 166). Other approaches to curing 
and fermenting tobacco were explored as a method for altering nicotine 
content (Ref. 128). For example, in one manufacturer's report, 
researchers observed that the properties of tobacco, including nicotine 
content, could be altered without the need for nontobacco additives by 
modifying curing practices (id., citing Ref. 167). In addition, 
manufacturers have explored approaches to identify microbial bacteria 
that actively degraded nicotine while leaving other components of the 
leaf intact (Ref. 128, citing Refs. 168 and 169). Consumer product 
testing showed that the ``product acceptability'' of that tobacco was 
equal to that of untreated tobacco (Ref. 128, citing Ref. 170).
    Researchers have developed novel approaches to reducing the 
nicotine in tobacco products in recent years. For example, a salivary 
excretion produced by a caterpillar (containing the enzyme glucose 
oxidase) is applied to tobacco plant leaves and can reduce the nicotine 
in tobacco leaf by up to 75 percent and provide an ``effective and 
economical system for producing tobacco products which contain about 
0.01 mg nicotine per cigarette or less . . . while maintaining the 
other desirable ingredients for good taste and flavor'' (Ref. 67).
    Please explain your responses and provide any evidence or other 
information supporting your responses to the following questions:
    1. What methods are tobacco product manufacturers currently using 
to maintain consistency of the nicotine in their products, given the 
variability of nicotine levels over growing seasons and crop type? How 
could these methods be adapted to ensure that certain combusted tobacco 
products meet a potential nicotine tobacco product standard?
    2. What is the feasibility of using the techniques discussed in 
this section, or other nicotine reduction techniques, to reduce the 
nicotine in cigarettes?
    3. What is the feasibility of using the techniques discussed in 
this section, or other nicotine reduction techniques, for non-cigarette 
combusted tobacco products (e.g., cigarette tobacco, RYO tobacco, 
little cigars, large cigars, cigarillos, pipe tobacco, and waterpipe 
tobacco) that FDA is considering covering under a nicotine tobacco 
product standard?
    4. If FDA were to propose a tobacco product standard setting a 
maximum nicotine level, how, if at all, would such a product standard 
impact tobacco farmers' growing and/or curing practices? If FDA were to 
finalize a nicotine tobacco product standard, what would be the costs 
and benefits for tobacco farmers and tobacco processors, particularly 
regarding how any such rulemaking might affect them in light of new 
technologies and business opportunities that are foreseeable, but not 
now in place? In addition, if FDA were to finalize a nicotine tobacco 
product standard, what would be the costs for farmers in light of such 
a standard?
    5. Section 907(d)(2) of the FD&C Act provides that a tobacco 
product standard must set forth the effective date of the standard, 
which may not be less than 1 year after publication of a final rule 
unless FDA determines that an earlier effective date is necessary for 
the protection of the public health (and that such effective date be 
established ``to minimize, consistent with the public health, economic 
loss to, and disruption or dislocation of, domestic and international 
trade''). This section also provides that the effective date be a 
minimum of 2 years after publication of a final rule if the tobacco 
standard can be met only by requiring ``substantial changes to the 
methods of farming the domestically grown tobacco used by the 
manufacturer.'' Therefore, if FDA were to propose a product standard 
setting a maximum nicotine level, when should this standard become 
effective? What implementation timeframe would allow adequate time for 
industry to comply? Should the same timeframe be required for all 
tobacco product manufacturers, regardless of their number of employees 
and/or annual revenues? \11\ Given the currently available processes to 
reduce the nicotine in tobacco products (e.g., chemical processes, 
genetic engineering), what do manufacturers

[[Page 11833]]

and others with relevant expertise consider an appropriate timeframe to 
implement a product standard to reduce nicotine? Would a 2-year, 4-
year, or 6-year timeframe be appropriate?
---------------------------------------------------------------------------

    \11\ The Tobacco Control Act defines ``small tobacco product 
manufacturer'' to be a tobacco product manufacturer that employs 
fewer than 350 employees (21 U.S.C. 387(16)). In the preamble to the 
deeming rule, FDA defined ``small-scale tobacco product 
manufacturers'' to be a manufacturer of any regulated tobacco 
product with 150 employees or fewer and annual total revenues of $5 
million or less (81 FR 28973 at 28980). If you are providing 
comments or information relevant to these definitions or a different 
definition, please note that definition in your comments.
---------------------------------------------------------------------------

    6. Should the standard include provisions that would allow 
manufacturers, distributors, or retailers to sell off existing 
nonconforming inventory of manufactured combusted tobacco products? If 
so, what would be a reasonable sell-off period?
    7. What are the potential outcomes of implementing methods to 
reduce nicotine content in cigarettes in terms of impact on 
characteristics of cigarettes (flavor, taste, aroma, etc.) and user 
experience?

F. Possible Countervailing Effects

    Section IV. B discusses some of the potential benefits that FDA 
expects could occur as a result of one possible nicotine tobacco 
product standard. There may be possible countervailing effects that 
could diminish the population health benefits expected as a result of a 
nicotine tobacco product standard. As part of any subsequent rulemaking 
FDA would need to assess these effects in comparison to the expected 
benefits, including among population subgroups.
    One possible countervailing effect is continued combusted tobacco 
product use. Current smokers of tobacco products covered by a nicotine 
tobacco product standard could turn to other tobacco products to 
maintain their nicotine dependence, both in combination with cigarettes 
(i.e., dual use) or in place of cigarettes (i.e., switching). For those 
users seeking to switch to a potentially less hazardous tobacco product 
(e.g., electronic nicotine delivery systems), FDA expects that the 
increase in consumer demand for such other products likely would be met 
by the tobacco industry, which has a history of being responsive to 
market shifts (see FDA's Draft Concept Paper published elsewhere in 
this issue of the Federal Register). For example, traditional cigarette 
manufacturers began to expand into the smokeless market when 
restrictions on where smokers were allowed to smoke were in enacted in 
the 1980s, 1990s, and early 2000s (id., citing Ref. 171). FDA also 
wishes to better understand whether users would switch to premium 
cigars if these products were excluded from the scope of a nicotine 
tobacco product standard. FDA has requested data and information on 
whether large and/or so-called premium cigars would be migration or 
dual use candidates, or whether and how there is a way to define 
``premium cigar'' to minimize such consequences.
    While FDA believes that some consumers would be satisfied with VLNC 
cigarettes, the Agency expects that there would be a subset of 
consumers uninterested in switching to VLNC cigarettes or quitting 
tobacco products altogether. This subset of consumers may seek to 
obtain illicit tobacco products after a standard becomes effective (see 
FDA's Draft Concept Paper). As a result, FDA is considering whether an 
increase in illicit trade might occur as a result of a nicotine tobacco 
product standard and how that could impact the marketplace and public 
health. The analysis of possible illicit trade includes considerations 
regarding the sources of tobacco, how illicit tobacco products might be 
manufactured, possible workarounds (such as adding nicotine in liquid 
or other form to a product with minimally addictive or nonaddictive 
nicotine levels), the ability to distribute illicit products, the 
development of consumer awareness, and how illicit trade sales might 
take place (id.). The capacity to produce illicit tobacco products 
would depend upon a variety of factors, including the ease of acquiring 
the raw materials (particularly tobacco), the sophistication required 
to construct the desired product, and the purpose (whether it is for an 
individual's personal use, or for wider distribution and sale). Large, 
commercial, tobacco product manufacturers have the resources, 
sophistication, and ability to manufacture illicit tobacco products 
(id.). Illicit tobacco products also may be smuggled and sold through 
the internet. It is unclear, however, to what extent such companies 
would be willing to risk their businesses (and resulting profits) to 
manufacture illicit tobacco products (id.). Tribal manufacturers are an 
additional source of tobacco products, having relatively high 
sophistication and machinery in some instances, but they are also 
subject to the same disincentives as large manufacturers and generally 
lack widespread distribution and sales capabilities (id.).
    The IOM has explored the issue of possible illicit trade if FDA 
were to issue a tobacco product standard limiting the levels of 
nicotine in cigarettes. The IOM found that although there is 
insufficient evidence to draw firm conclusions regarding how the U.S. 
illicit tobacco market would respond to regulations requiring a 
reduction in the nicotine content of cigarettes, limited evidence 
suggests that the demand for illicit conventional cigarettes would be 
``modest'' (Ref. 172). The IOM suggests that demand would be limited, 
because some smokers may quit and other will use modified products or 
seek legal alternatives (id.). Although some smokers may seek to 
purchase illicit products if available and accessible, the IOM finds 
that this ``would require established distribution networks and new 
sources of product (which would either have to be smuggled from other 
countries or produced illegally) to create a supply of cigarettes with 
prohibited features'' (id.). Given that individuals have utilized 
distribution networks to smuggle cigarettes and avoid higher taxes, FDA 
is considering whether there might be additional incentive to create or 
obtain the prohibited cigarettes that are not available elsewhere in 
the United States. In addition, the report explains that comprehensive 
interventions by several countries show that it is possible to reduce 
the size of the illicit tobacco market through enforcement mechanisms 
and collaborations across jurisdictions (id.).
    If a nicotine tobacco product standard were to prompt the 
development of an illicit market, FDA would have the authority to take 
enforcement actions regarding the sale and distribution of illicit 
tobacco products. The FD&C Act provides FDA with several tools that it 
may use against noncompliant parties. For example, FDA could issue a 
Warning Letter, an advisory action in which FDA notifies a regulated 
entity that FDA has found evidence that the party violated the law. A 
Warning Letter is used to achieve prompt voluntary compliance. In a 
Warning Letter, FDA informs the regulated entity that failure to comply 
with the requirements of the FD&C Act and its implementing regulations 
may result in FDA enforcement action. These actions may include 
initiating administrative actions or referring cases to the Department 
of Justice for initiation of judicial action. FDA may seek to initiate 
an administrative legal action against a regulated entity that can 
result in the imposition of a fine or civil money penalty. Possible 
judicial actions may include seizures, injunctions, and criminal 
prosecution.
    Another possible countervailing effect is the potential for 
increased harm due to continued VLNC smoking with altered smoking 
behaviors. Some studies of VLNC cigarettes with nicotine levels similar 
to what FDA is considering have not found compensatory smoking behavior 
and have found reductions in the number of cigarettes smoked per day 
and, consequently, decreased exposure to harmful constituents (as 
discussed in

[[Page 11834]]

section IV.B of this document). If FDA decides to pursue a proposed 
nicotine product standard, FDA will continue to consider this potential 
countervailing effect.
    Another possible countervailing effect of setting a maximum 
nicotine level for cigarettes could be that users would seek to add 
nicotine in liquid or other form to their combusted tobacco products. 
Therefore, FDA is considering whether any action it might take to 
reduce nicotine in combusted tobacco products should be paired with a 
provision that would prohibit the sale or distribution of any tobacco 
product designed for the purposes of supplementing the nicotine content 
of a combusted tobacco product (or any product where the reasonably 
foreseeable use is for the purposes of supplementing this nicotine 
content). FDA is also considering what other regulatory options may be 
available to address this concern and requests comments on such 
options.
    Please explain your responses and provide any evidence or other 
information supporting your responses to the following questions:
    1. In addition to a nicotine tobacco product standard, should FDA 
consider any additional regulatory action to address the possibility of 
migration to, or dual use with, other tobacco products?
    2. If FDA were to issue a product standard setting a maximum 
nicotine content for cigarettes, would smokers seek to add liquid 
nicotine to their VLNC cigarettes? Therefore, should such a regulation 
include provisions prohibiting the sale or distribution of any tobacco 
product designed for the purposes of supplementing the nicotine content 
of a combusted tobacco product (or any product where the reasonably 
foreseeable use is to supplement this nicotine content)? How could such 
a provision be structured to efficiently and effectively achieve this 
purpose? Should FDA consider other means to prevent supplementing the 
nicotine content of a combusted tobacco product subject to a nicotine 
tobacco product standard?
    3. Would a nicotine tobacco product standard affect the current 
illicit trade market, and, if so, to what extent? How would users 
obtain their sources of tobacco in an illicit market? How would 
manufacturers distribute their illicit products and develop consumer 
awareness of such products? How would such sales take place?
    4. FDA hypothesizes that, based on currently available research, 
nicotine levels like those levels that FDA would consider with a 
possible nicotine tobacco product standard would be self-limiting 
(i.e., smokers would be unable to obtain their nicotine dose from 
cigarettes no matter how they smoke them and eventually would stop 
trying to do so). Do any peer-reviewed studies demonstrate that 
lowering the nicotine content of cigarettes to minimally addictive 
levels might encourage consumers to smoke more VLNC cigarettes to 
achieve the higher nicotine doses currently delivered by NNC 
cigarettes?
    5. If a nicotine tobacco product standard were in effect, the 
following outcomes could occur: (1) Smokers could continue to smoke but 
use the low nicotine products; (2) smokers could completely switch to, 
or dual use low nicotine products with, other legal tobacco or nicotine 
products; (3) smokers could quit using any nicotine or tobacco product; 
or (4) smokers could seek to buy illegal cigarettes in an illicit 
market. Are there data that would provide information on which of these 
outcomes is most likely? Is there some other outcome that could occur?
    6. If an illicit market developed, what percentage of current 
smokers would switch to illicit conventional cigarettes rather than 
quitting or switching to other legal products? How would this change if 
illicit conventional cigarettes were more expensive and/or harder to 
obtain? How would this change with the implementation of improved 
monitoring and enhanced enforcement by FDA and its partners?
    7. If a nicotine tobacco product standard prompted growth of an 
illicit market, how long would it likely last? Would demand likely 
decrease over time, stay the same, or increase?
    8. If a nicotine tobacco product standard prompted growth of an 
illicit market, what effect, if any, would this have on the market for 
illegal drugs? Are there data showing a relationship between illicit 
tobacco use and illegal drug use?
    9. What mechanisms may be used to prevent, control, or contain 
illicit markets in conventional cigarettes that may develop if FDA 
establishes a product standard? What State and Federal entities may be 
responsible for these mechanisms, and how much would they cost?

G. Other Considerations

    To aid in its consideration regarding development of a nicotine 
tobacco product standard, FDA is seeking data, research results, and 
other information regarding the following:
    1. What data may be helpful to assess the universe of tobacco 
products that are currently available to consumers and their relevant 
characteristics, such as nicotine levels? How can available sources of 
information, such as manufacturer registrations and/or product listings 
with FDA, be used in this assessment?
    2. How should potential consumer surplus or utility loss from the 
removal of nicotine in cigarettes be considered, given the availability 
of other sources of nicotine such as ENDS and the continued 
availability of combustible tobacco products?
    3. What sources of information could be used to estimate the change 
in demand for VLNC cigarettes? What factors should we consider in 
estimating the changes in demand for other tobacco products?
    4. What factors should be considered in estimating changes in 
experimentation and initiation that may occur as a result of a 
potential nicotine tobacco product standard?
    5. In what ways might a change in nicotine levels in cigarettes 
spur innovation in the market for both combusted and noncombusted 
tobacco products?
    6. What factors should be considered in estimating the impacts of 
externalities that might exist for VLNC cigarettes, such as secondhand 
smoke, litter, and pollution? How could the impact of externalities for 
VLNC cigarettes be compared to the impacts from NNC cigarettes?
    7. What factors should we consider in estimating the impact of 
changes in demand for other tobacco products?
    8. If FDA were to finalize a nicotine tobacco product standard, 
what might be the costs to current smokers?
    9. Are there any other relevant comments or information that would 
be helpful for FDA to consider in analyzing the economic impacts of a 
proposed nicotine tobacco product standard?

V. Potential Public Health Benefits of Preventing Initiation to Regular 
Use and Increasing Cessation

    If FDA were to issue a proposed tobacco product standard setting a 
maximum nicotine level, FDA would provide an analysis explaining how 
the proposed rule would be appropriate for the protection of the public 
health (section 907(a)(3)(A) of the FD&C Act). For the purposes of this 
ANPRM, this section briefly describes the potential public health 
benefits FDA believes could result from the increased cessation and 
decreased initiation to regular use that FDA expects could occur if 
cigarettes and possibly some other combusted tobacco products were 
minimally addictive or nonaddictive. It also references findings from a

[[Page 11835]]

population-based simulation model that quantified the potential public 
health impact of enacting a regulation lowering nicotine levels in 
cigarettes and some other combusted tobacco products to minimally 
addictive levels, utilizing inputs derived from empirical evidence and 
expert opinion. We are seeking public comment regarding the inputs that 
should be used for modeling the impact of a nicotine tobacco product 
standard.

A. Smoking Cessation Would Lead to Substantial Public Health Benefits 
for People of All Ages

    Significant declines in the deaths caused by the use of combusted 
tobacco products can be achieved by reducing the prevalence of smoking 
cigarettes and other combusted tobacco products. Smoking cessation has 
major and immediate health benefits for men and women of all ages, 
regardless of health status (Ref. 173 at p. i). Smoking cessation 
decreases the risk of the health consequences of smoking, and former 
smokers live longer than continuing smokers. For example, persons who 
quit smoking before age 50 have one-half the risk of dying in the next 
15 years compared with continuing smokers (id. at p. v).
    Smoking cessation reduces the risk of cancers throughout the body 
(Ref. 173). For example, although the risk of dying from lung cancer is 
22 times higher for male smokers than male nonsmokers (and 12 times 
higher for female smokers than female nonsmokers), the risk of lung 
cancer after 10 years of abstinence is 30 to 50 percent that of 
continuing smokers (id.; Refs. 174 and 175).
    Smoking cessation also reduces the risk of other life-threatening 
illnesses that occur in smokers. In addition to reducing the risk of 
cancers and the mortality rates of smoking-related diseases, smoking 
cessation substantially reduces the risk of other dangerous diseases 
that can lead to death or disability and cause a financial strain on 
health care resources. For example, smoking cessation substantially 
reduces risk of peripheral artery occlusive disease (which can cause 
complications that lead to loss of limbs) (Ref. 173). Former smokers 
also have half the excess risk of experiencing an abdominal aortic 
aneurysm compared to current smokers (id.). Cigarette smoking also 
complicates many diseases (e.g., smokers with diabetes have higher risk 
of complications, including heart and kidney disease, poor blood flow 
in the legs and feet, retinopathy and peripheral neuropathy), and 
smoking cessation can alleviate those complications as well (Ref. 17).
    Youth and young adults would experience the greatest benefits from 
a nicotine tobacco product standard, because many of them may not 
progress beyond experimentation and, therefore, may not experience 
dangerous and deadly tobacco-related health effects. Fetuses and 
children also would benefit if their parents quit smoking, given the 
negative health consequences to the fetus of a smoking mother and the 
dangers of secondhand smoke. In addition, children of parents who 
smoke, when compared with children of nonsmoking parents, have an 
increased frequency of respiratory infections like pneumonia and 
bronchitis (Ref. 173). Smoking cessation reduces the rates of these 
respiratory symptoms and of respiratory infections (Ref. 176 at p. 
467). Children exposed to tobacco smoke in the home also are more 
likely to develop acute otitis media (middle ear infections) and 
persistent middle ear effusions (thick or sticky fluid behind the 
eardrum) (Ref. 173). If parents were more able to quit because these 
products become minimally addictive or nonaddictive, youth would 
experience these health problems much less frequently.
    Although the health benefits are greater for people who stop 
smoking at earlier ages (Refs. 173 and 176), researchers estimate that 
smokers can gain years of additional life expectancy no matter when 
they quit (Ref. 177). In addition, scientists using data from the 
Cancer Prevention Study (CPS-II), but accounting for bias caused by 
smoking cessation after baseline, found that even smokers who quit at 
age 65 had an expected life expectancy increase of 2 years for men and 
3.7 years for women (Ref. 178).
    The benefits continue for those who remain smoke free. At year one, 
an individual's added risk of coronary heart disease becomes half that 
of a smoker's (Ref. 175). Between 2 and 5 years after cessation, an 
individual's stroke risk is reduced to that of a nonsmoker (id.). In 
addition, a former smoker's risk of cancers of the mouth, throat, 
esophagus, and bladder is halved within five years (id.). By 10-years 
post cessation, an individual's risk of cancers of the kidney and 
pancreas decreases (id). The risk of coronary heart disease becomes 
that of a nonsmoker after 15 years of abstinence (id.).

B. A Nicotine Tobacco Product Standard Could Lead to Substantial 
Improvement in Public Health

    As stated throughout this document, nicotine at levels currently 
found in tobacco products is highly addictive, and addiction to 
nicotine is the ``fundamental reason that individuals persist in using 
tobacco products'' (Ref. 17 at p. 105). Although nicotine itself is not 
the direct cause of most tobacco-attributable disease, addiction to the 
nicotine in tobacco products is the proximate cause of these conditions 
because it sustains tobacco use (Refs. 54 and 179). Addiction caused by 
nicotine in tobacco is critical in the transition of smokers from 
experimentation to sustained smoking and in the maintenance of smoking 
for those who want to quit (Ref. 7 at p. 113; Ref. 17). As a result, 
FDA expects that making cigarettes minimally addictive or nonaddictive 
would reduce tobacco-related harms by promoting smoking cessation or 
complete migration to alternative, potentially less harmful 
noncombusted products and by reducing initiation. In this section, we 
summarize the approach used to describe the possible impact of a 
potential nicotine tobacco product standard to the population as a 
whole and present the findings of this analysis.
    As discussed elsewhere in this document, FDA is considering the 
scope of a potential product standard, and has asked for public 
comment. To assess the impact of one potential option that might 
maximize the potential public health impact, it may be appropriate to 
consider the Apelberg et al. 2018 publication, which presented 
simulation modeling of a policy scenario in which the scope of a 
potential product standard restricted the nicotine level in cigarettes, 
cigarette tobacco, RYO tobacco, cigars (including little cigars, large 
cigars, and cigarillos, but not so-called ``premium'' cigars), and pipe 
tobacco (other than waterpipe/hookah tobacco). As part of a formal 
expert elicitation process (this process centered around three online 
conferencing sessions held during January and February 2015, following 
a written protocol designed to elicit opinions using a structured, 
standardized approach (see Ref. 181 for more details)), eight subject 
matter experts were asked to provide their individual estimates of the 
anticipated impacts of a hypothetical policy (setting a ``maximum limit 
on the amount of nicotine in cigarette tobacco filler'' for the purpose 
of reducing nicotine in cigarettes ``to minimally addictive levels'') 
and to develop subjective probability distributions for parameters of 
interest.
    A more detailed description of the methodology, data sources and 
inputs, and results from this analysis can be

[[Page 11836]]

found in two peer-reviewed publications (Refs. 180 and 181).
1. Approach to Estimating Impacts to the Population as a Whole
    As described in this document, FDA expects that making cigarettes 
minimally addictive or nonaddictive (however that were achieved) would 
impact currently addicted smokers by increasing their ability to quit 
smoking and affect nonsmokers by reducing the likelihood that they 
would become established and addicted smokers. Apelberg et al. 2018 
updated a previously published discrete system dynamic population model 
to compare projected outcomes for a status-quo scenario (in which no 
maximum nicotine level is implemented) with outcomes for a policy 
scenario in which a hypothetical regulation lowering nicotine in 
cigarettes, and selected other combusted tobacco products, to minimally 
addictive was implemented \12\ (Ref. 181).
---------------------------------------------------------------------------

    \12\ The policy scenario presented in Apelberg et al. 2018 (Ref. 
181) did not define a specific level of nicotine as minimally 
addictive. Rather, the policy scenario simulated implementation of a 
hypothetical standard in which cigarettes and certain other 
combusted tobacco products were made minimally addictive, informed 
by a formal expert elicitation process (Ref. 181), used to estimate 
the impact of decreasing the addictiveness of cigarettes on certain 
tobacco use behaviors. Given the lack of specificity in the 
hypothetical scenario posed in the Apelberg et al. study, caution is 
warranted in extrapolating its results to the assessment of a 
particular policy.
---------------------------------------------------------------------------

    The model incorporated, based on estimates of subject matter 
experts, the following tobacco use transitions to estimate the impact 
of the policy: (1) Cigarette smoking cessation; (2) cigarette smokers 
switching to noncombusted tobacco products (e.g., smokeless tobacco 
and/or electronic cigarettes) rather than quitting tobacco use 
entirely; (3) continuing smokers becoming dual users of cigarettes and 
noncombusted tobacco products; (4) nonsmokers initiating regular 
cigarette smoking; and (5) nonsmokers who have been dissuaded from 
smoking cigarettes and certain other combusted tobacco products, who 
may instead initiate use of a noncombusted tobacco product. The model, 
based on input parameters derived from expert estimates, projected the 
impact of the policy on four main outcomes: (1) Prevalence of cigarette 
smoking and noncombusted tobacco product use; (2) the number of 
individuals dissuaded from cigarette smoking; (3) cumulative number of 
tobacco-attributable deaths avoided; and (4) cumulative life years 
gained as a result of a regulation setting a maximum nicotine level.
    The methodology implemented in this analysis has been detailed 
elsewhere (Refs. 180 and 181). Briefly, the simulation begins with an 
initial population that reflects the sex, age, and tobacco use 
distribution (i.e., never, current, and former use of cigarettes and 
noncombusted products) of the U.S. population in 2015, based on U.S. 
Census Bureau estimates. The analysis projects population changes for 
2016-2100 in 1-year increments, while accounting for births, net 
migration (which accounts for immigration and emigration) and deaths, 
the last of which is a function of age, sex, and tobacco use status. 
Baseline estimates for tobacco use status (combinations of current, 
former, and never use for cigarettes and noncombusted products) by sex, 
age, and time since cessation (for cigarettes only) were obtained from 
the 2015 National Health Interview Survey (NHIS) for adults (Ref. 1) 
and the 2015 NYTS for youth (Ref. 182). Mortality rates and relative 
risks by tobacco use status were obtained from U.S. vital statistics 
data, NHIS data linked for mortality followup (for never smoker 
mortality rates and cigarette smoking relative risks), and the CPS-II 
(for smokeless tobacco product relative risks). In the absence of data 
on the long-term health risks of ENDS, Apelberg et al. assumed that the 
ENDS products carried the same risks associated with traditional 
smokeless tobacco (see Ref. 181 for more detail).
    Quantitative inputs for rates of post-policy smoking cessation, 
switching, and dual use in the hypothetical policy scenario were 
obtained through a formal expert elicitation process. The methodology 
used to identify experts, develop the protocol, conduct the 
elicitation, and summarize the findings has been described in detail 
elsewhere (Ref. 181 at Appendix). Briefly, elicitation candidates with 
expertise in tobacco science and policy were identified, ranked, and 
recruited in accordance with a pre-specified protocol, based on 
publication history and accounting for potential conflicts of interest. 
Candidates were required to self-certify that they were free of any 
actual, apparent, or potential conflicts of interests. The elicitation 
process centered around three online conferencing sessions held during 
January and February 2015, following a written protocol designed to 
elicit opinions using a structured, standardized approach (see Ref. 181 
for more details). Briefing books with key papers on the topics of 
interest as well as background data on tobacco use and policy were 
provided to a panel of eight experts prior to the conference sessions. 
Experts were asked to identify any other relevant information to share 
with the panel. Detailed written questionnaires were completed by each 
expert as independent take-home exercises. To maintain the independence 
of the experts and encourage open discussion, involvement of FDA staff 
was limited.
    To explore the potential impact of a product standard that would 
maximally benefit population health, the experts were asked to assume 
that combusted tobacco products that could be viewed as highly likely 
to serve as substitutes for traditional cigarettes (i.e., RYO tobacco, 
pipe tobacco, nonpremium cigars) would be included in the policy, while 
other tobacco products (i.e., premium cigars, waterpipe/hookah, ENDS, 
smokeless tobacco) would be excluded.\13\ The eight experts were asked 
to predict and quantify the anticipated impact of the policy on the 
following model parameters: (1) Cigarette smoking cessation rates; (2) 
switching from cigarette smoking to other tobacco products excluded 
from the hypothetical policy scenario; (3) dual use rates; (4) 
cigarette smoking initiation rates; and (5) initiation rates for other 
tobacco products excluded from the hypothetical policy scenario. Each 
of the eight experts was asked to provide his or her best estimate of 
the parameters' true value, estimates of the minimum and maximum 
plausible values, and estimates of the 5th, 25th, 75th and 95th 
percentile values. Experts were asked first about impacts in the first 
year immediately following the potential product standard's 
implementation and then about the impacts in the years following the 
first full year of implementation. Experts had the option of providing 
separate estimates of impacts for males and females for the initial and 
subsequent years. For each question, experts were asked to provide the 
factors they considered pertinent to answering the question, including 
the studies and research findings most influential to informing their 
views, and to rate their familiarity with the relevant literature. The 
elicitation process provided the experts with opportunities to interact 
and discuss divergent views, from

[[Page 11837]]

which each expert generated his/her initial and final estimates.
---------------------------------------------------------------------------

    \13\ While the policy scenario presented in Apelberg et al., 
2018 (Ref. 181) is based on reduction in nicotine level in 
cigarettes, cigarette tobacco, RYO tobacco, certain cigars and pipe 
tobacco, the estimated population impact is based on reductions in 
cigarette smoking. FDA notes that not accounting for reductions in 
the use of other combusted tobacco products may underestimate the 
overall impact of this policy scenario.
---------------------------------------------------------------------------

    The eight experts' judgments about the potential values of these 
parameters are published in Apelberg et al. 2018 (Ref. 181). While 
parameter estimates and their probability distributions varied somewhat 
between participants, most experts had the view that making cigarettes 
and certain other combusted tobacco products minimally addictive would 
lead to substantial initial and long-term increases in smoking 
cessation among cigarette smokers and decreased initiation among 
nonsmokers. Distributions provided by the eight experts' parameter 
estimates were substantially broad in range. For example, for both male 
and female non-smokers, the median minimum and maximum estimates from 
the eight experts on the ``percent of reduction in annual smoking 
initiation rates'' after the first year in response to the policy 
ranged from 10 percent to 90 percent. For both male and female smokers, 
the median minimum and maximum estimates from the eight experts on the 
``percent of current smokers who quit smoking as a result of the 
policy'' within the first year after policy implementation ranged from 
4 percent to 50 percent.
    To account for uncertainty associated with the expected impact of 
the policy scenario, Apelberg et al. 2018 used the distributions of the 
experts' estimates in a Monte Carlo simulation. A Latin Hypercube 
sampling with 1,000 sample values was performed for each of the 
expert's response distributions. For each simulation, the policy 
scenario was compared to the baseline scenario to estimate changes in 
the outcomes described above. A summary of distribution responses are 
provided in Apelberg et al. 2018.
2. Projected Impacts to Users, Nonusers, and the Population as a Whole
    As illustrated in Figure 1 (Ref. 181), using the experts' input 
estimates for the parameters described previously, and assuming that 
the policy is implemented in 2020, the simulation model projected that 
cigarette smoking prevalence declines substantially in the policy 
scenario within the first year of implementation of the hypothetical 
policy scenario to a median value of 10.8 percent compared with 12.8 
percent in the baseline scenario. In subsequent years, the simulation 
model projects that the difference in cigarette smoking prevalence 
between the scenarios continues to grow due to the experts' estimates 
of sustained increases in cessation and decreases in initiation in the 
policy scenario. The projected smoking prevalence drops to a median 
value of 1.4 percent (5th and 95th percentile projections range from 
0.2 percent to 5.9 percent) under the policy scenario by 2060 compared 
to 7.9 percent under the baseline. Smoking prevalence estimates for the 
year 2100 are comparable to those for 2060.
    Concurrent with a projected reduction in cigarette smoking is a 
projected increase in noncombusted product use. Adult noncombusted 
tobacco product use is higher in the hypothetical policy scenario 
compared to the baseline scenario within the first year of 
implementation of the potential product standard (Ref. 181 at Figure 
1), due to estimated increases in switching from cigarette smoking and 
transitions to dual cigarette and noncombusted product use as a result 
of the hypothetical policy scenario. The prevalence of noncombusted 
tobacco product use remains higher in the policy scenario over time due 
to the experts' predictions that there would be both increased uptake 
among smokers (through either complete switching or dual use) and 
increased initiation due to some dissuaded cigarette initiators taking 
up noncombusted products instead.
    Table 2 provides a projection of the number of individuals who 
would not become cigarette smokers over time as a result of the 
hypothetical policy scenario. Since it is assumed, based on expert 
input, that there would be a sustained decrease in cigarette smoking 
initiation rates, the model projects that the cumulative number of 
dissuaded smoking initiates continues to increase over time. By 2100, 
the median estimate from the model, based on the experts' estimates of 
potential initiation rates as a result of the policy, is that more than 
33 million youth and young adults who would have otherwise initiated 
regular smoking would not start as a result of the hypothetical policy 
scenario (5th and 95th percentile projections range from 8.0 million to 
64.1 million).
    Using the eight experts' estimates for the percent of current 
smokers who would quit smoking after implementation of the policy, 
approximately 5 million additional smokers are estimated to quit 
smoking within one year after implementation of the product standard 
(5th and 95th percentile projections range from 110,000 to 19.7 
million), compared to the baseline scenario. The number of additional 
smokers quitting would increase by approximately 13 million within 5 
years after policy implementation (5th and 95th percentile projections 
range from 430,000 to 30.5 million), compared to the baseline scenario.

 Table 2--Projected Number of Individuals Who Would Not Initiate Regular
 Smoking as a Result of a Nicotine Tobacco Product Standard Implemented
                                 in 2020
------------------------------------------------------------------------
                                        Cumulative new smoking initiates
                                             avoided (in millions)
                 Year                 ----------------------------------
                                           5th                   95th
                                        percentile   Median   percentile
------------------------------------------------------------------------
2040.................................          2.0      8.1         15.6
2060.................................          3.9     16.0         31.0
2080.................................          5.9     24.4         47.2
2100.................................          8.0     33.1         64.1
------------------------------------------------------------------------

    Table 3 presents the estimated cumulative number of tobacco-
attributable deaths potentially avoided and life years gained due to 
the experts' determinations that smoking rates would decrease as a 
result of the hypothetical policy scenario. By 2060, it is estimated 
that a median value of almost 3 million deaths due to tobacco would be 
avoided (5th and 95th percentile projections range from 0.7 million to 
4.3 million), rising to 8.5 million by the end of the century (5th and 
95th percentile projections range from 2.2 million to 11.2 million). 
The reduction in premature deaths attributable to the hypothetical 
policy scenario would result in approximately 33 million life years 
gained by 2060 (5th and 95th percentile projections range from 7.8 
million to 53.9 million) and over 134 million life years gained by 2100 
(5th and 95th percentile projections range from 31.6 million to 183.0 
million).

[[Page 11838]]



 Table 3--Projected Number of Tobacco-Attributable Deaths Avoided and Life Years Gained Due to Reduced Smoking as a Result of a Nicotine Tobacco Product
                                                              Standard Implemented in 2020
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                          Cumulative tobacco attributable deaths avoided      Cumulative life years gained (millions)
                                                                            (millions)                   -----------------------------------------------
                          Year                           ------------------------------------------------
                                                                                               95th       5th percentile      Median           95th
                                                          5th percentile      Median        percentile                                      percentile
--------------------------------------------------------------------------------------------------------------------------------------------------------
2040....................................................             0.3             0.9             1.4             2.5             6.8            11.5
2060....................................................             0.7             2.8             4.3             7.8            33.1            53.9
2080....................................................             1.3             5.6             7.9            16.5            79.6           118.0
2100....................................................             2.2             8.5            11.2            31.6           134.4           183.0
--------------------------------------------------------------------------------------------------------------------------------------------------------

3. Request for Comments
    Based on the experts' judgments that reducing nicotine levels in 
combusted tobacco products would increase smoking cessation and 
decrease smoking initiation, and calculations from the simulation model 
describing the potential impact of reducing nicotine to minimally 
addictive levels in cigarettes and selected other combusted tobacco 
products, FDA anticipates a significant public health benefit to the 
United States. This hypothesis is based on the assumption that the 
reduction in nicotine levels in combusted tobacco products would create 
substantial reductions in smoking prevalence due to increased smoking 
cessation and reduced initiation of regular smoking. Given that 
research studies cannot easily replicate the condition of a nationally 
enforced restriction on nicotine to minimally addictive levels in 
cigarettes, FDA sought expert opinion through an established 
elicitation process to provide the best estimates for the potential 
values and associated ranges of the likely impact of a hypothetical 
reduction in cigarettes' nicotine content (to be achieved by a 
potential product standard) on tobacco use behaviors. FDA requests 
data, evidence, and other information regarding the potential public 
health benefits (or risks) if FDA were to move forward in this area. 
Specifically, FDA is seeking data, evidence, and other information that 
could inform the following five parameter inputs that would be helpful 
in determining the public health impact of a nicotine tobacco product 
standard:
     Percent of current cigarette smokers who would quit 
cigarette smoking as a result of a standard restricting nicotine to 
minimally addictive levels.
     Percent of quitters switching to other combusted or 
noncombusted tobacco products.
     Percent of continuing smokers who become dual product 
users of cigarettes and noncombusted tobacco products.
     Percent reduction in annual smoking initiation rates.
     Percent of dissuaded smoking initiates who initiate 
noncombusted tobacco product use instead.

Please include your assumptions about the scope of the standard and 
data that supports your estimates.
4. Additional Public Health Benefits
    While the projections from the simulation model calculating the 
potential impact from reducing nicotine to minimally addictive levels 
in cigarettes suggest a significant public health benefit to the United 
States resulting from substantial reductions in smoking prevalence 
(based on the model's inputs, which reflect the experts' assessments 
that the reduction in nicotine levels in combusted tobacco products 
would create substantial increases in smoking cessation and reductions 
in initiation of regular smoking), the analysis does not address 
certain potential added benefits. First, the model does not account for 
increased quality of life from decreased tobacco-related morbidity, nor 
does it account for cost savings from medical care averted. Second, the 
analysis does not account for the impacts of secondhand smoke exposure 
on public health in the United States. Third, the analysis does not 
account for reductions in harms caused by smoking-related fires. 
Fourth, the potential impact described does not account for the 
potential impact on population health from use of the other combusted 
products (e.g., cigars, pipes) if the assumed rule were to cover such 
products. Finally, these projections do not assess whether there could 
be potential health benefits associated with smokers cutting down on 
the number of cigarettes smoked as a result of the standard.

VI. References

    The following references are on display in the Dockets Management 
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persons between 9 a.m. and 4 p.m. Monday through Friday; they are also 
available electronically at https://www.regulations.gov. FDA has 
verified the website addresses, as of the date this document publishes 
in the Federal Register, but websites are subject to change over time.

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[[Page 11843]]

Survey website, available at https://www.cdc.gov/tobacco/data_statistics/surveys/nyts/index.htm.

    Dated: March 12, 2018.
Leslie Kux,
Associate Commissioner for Policy.
[FR Doc. 2018-05345 Filed 3-15-18; 8:45 am]
BILLING CODE 4164-01-P



                                                  11818                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

                                                  DEPARTMENT OF HEALTH AND                                ADDRESSES:   You may submit comments                  manner (see ADDRESSES), will be placed
                                                  HUMAN SERVICES                                          as follows. Please note that late,                    in the docket and, except for those
                                                                                                          untimely filed comments will not be                   submitted as ‘‘Confidential
                                                  Food and Drug Administration                            considered. Electronic comments must                  Submissions,’’ publicly viewable at
                                                                                                          be submitted on or before June 14, 2018.              https://www.regulations.gov or at the
                                                  21 CFR Part 1130                                        The https://www.regulations.gov                       Dockets Management Staff between 9
                                                  [Docket No. FDA–2017–N–6189]                            electronic filing system will accept                  a.m. and 4 p.m., Monday through
                                                                                                          comments until midnight Eastern Time                  Friday.
                                                  RIN 0910–AH86                                           at the end of June 14, 2018. Comments                    • Confidential Submissions—To
                                                                                                          received by mail/hand delivery/courier                submit a comment with confidential
                                                  Tobacco Product Standard for Nicotine                   (for written/paper submissions) will be               information that you do not wish to be
                                                  Level of Combusted Cigarettes                           considered timely if they are                         made publicly available, submit your
                                                  AGENCY:    Food and Drug Administration,                postmarked or the delivery service                    comments only as a written/paper
                                                  HHS.                                                    acceptance receipt is on or before that               submission. You should submit two
                                                  ACTION:Advance notice of proposed                       date.                                                 copies total. One copy will include the
                                                  rulemaking.                                                                                                   information you claim to be confidential
                                                                                                          Electronic Submissions                                with a heading or cover note that states
                                                  SUMMARY:    The Food and Drug                             Submit electronic comments in the                   ‘‘THIS DOCUMENT CONTAINS
                                                  Administration (FDA) is issuing this                    following way:                                        CONFIDENTIAL INFORMATION.’’ The
                                                  advance notice of proposed rulemaking                     • Federal eRulemaking Portal:                       Agency will review this copy, including
                                                  (ANPRM) to obtain information for                       https://www.regulations.gov. Follow the               the claimed confidential information, in
                                                  consideration in developing a tobacco                   instructions for submitting comments.                 its consideration of comments. The
                                                  product standard to set the maximum                     Comments submitted electronically,                    second copy, which will have the
                                                  nicotine level for cigarettes. Because                  including attachments, to https://                    claimed confidential information
                                                  tobacco-related harms ultimately result                 www.regulations.gov will be posted to                 redacted/blacked out, will be available
                                                  from addiction to the nicotine in such                  the docket unchanged. Because your                    for public viewing and posted on
                                                  products, causing repeated use and                      comment will be made public, you are                  https://www.regulations.gov. Submit
                                                  exposure to toxicants, FDA is                           solely responsible for ensuring that your             both copies to the Dockets Management
                                                  considering taking this action to reduce                comment does not include any                          Staff. If you do not wish your name and
                                                  the level of nicotine in these products                 confidential information that you or a                contact information to be made publicly
                                                  so they are minimally addictive or                      third party may not wish to be posted,                available, you can provide this
                                                  nonaddictive, using the best available                  such as medical information, your or                  information on the cover sheet and not
                                                  science to determine a level that is                    anyone else’s Social Security number, or              in the body of your comments and you
                                                  appropriate for the protection of the                   confidential business information, such               must identify this information as
                                                  public health. FDA is using the term                    as a manufacturing process. Please note               ‘‘confidential.’’ Any information marked
                                                  ‘‘nonaddictive’’ in this document                       that if you include your name, contact                as ‘‘confidential’’ will not be disclosed
                                                  specifically in the context of a                        information, or other information that                except in accordance with 21 CFR 10.20
                                                  potentially nonaddictive cigarette. We                  identifies you in the body of your                    and other applicable disclosure law. For
                                                  acknowledge the highly addictive                        comments, that information will be                    more information about FDA’s posting
                                                  potential of nicotine itself depending                  posted on https://www.regulations.gov.                of comments to public dockets, see 80
                                                  upon the route of delivery. As discussed                  • If you want to submit a comment                   FR 56469, September 18, 2015, or access
                                                  elsewhere in this document, questions                   with confidential information that you                the information at: https://www.gpo.gov/
                                                  remain with respect to the precise level                do not wish to be made available to the               fdsys/pkg/FR-2015-09-18/pdf/2015-
                                                  of nicotine in cigarettes that might                    public, submit the comment as a                       23389.pdf.
                                                  render them either minimally addictive                  written/paper submission and in the                      Docket: For access to the docket to
                                                  or nonaddictive for specific members or                 manner detailed (see ‘‘Written/Paper                  read background documents or the
                                                  segments of the population. We                          Submissions’’ and ‘‘Instructions’’).                  electronic and written/paper comments
                                                  envision the potential circumstance                                                                           received, go to https://
                                                                                                          Written/Paper Submissions
                                                  where nicotine levels in cigarettes do                                                                        www.regulations.gov and insert the
                                                  not spur or sustain addiction for some                    Submit written/paper submissions as                 docket number, found in brackets in the
                                                  portion of potential smokers. This could                follows:                                              heading of this document, into the
                                                                                                            • Mail/Hand delivery/Courier (for                   ‘‘Search’’ box and follow the prompts
                                                  give addicted users the choice and
                                                                                                          written/paper submissions): Dockets                   and/or go to the Dockets Management
                                                  ability to quit more easily, and it could
                                                                                                          Management Staff (HFA–305), Food and                  Staff, 5630 Fishers Lane, Rm. 1061,
                                                  help to prevent experimenters (mainly
                                                                                                          Drug Administration, 5630 Fishers                     Rockville, MD 20852.
                                                  youth) from initiating regular use and
                                                                                                          Lane, Rm. 1061, Rockville, MD 20852.                  FOR FURTHER INFORMATION CONTACT:
                                                  becoming regular smokers. The scope of                    • For written/paper comments
                                                  products covered by any potential                                                                             Gerie Voss, Center for Tobacco
                                                                                                          submitted to the Dockets Management                   Products, Food and Drug
                                                  product standard will be one issue for                  Staff, FDA will post your comment, as
                                                  comment in the ANPRM. Any                                                                                     Administration, 10903 New Hampshire
                                                                                                          well as any attachments, except for                   Ave., Silver Spring, MD 20993, 1–877–
                                                  additional scientific data and research                 information submitted, marked and
daltland on DSKBBV9HB2PROD with PROPOSALS2




                                                  relevant to the empirical basis for                                                                           CTP–1373, gerie.voss@fda.hhs.gov.
                                                                                                          identified, as confidential, if submitted
                                                  regulatory decisions related to a                                                                             SUPPLEMENTARY INFORMATION:
                                                                                                          as detailed in ‘‘Instructions.’’
                                                  nicotine tobacco product standard is                      Instructions: All submissions received              Table of Contents
                                                  another issue for comment in the                        must include the Docket No. FDA–
                                                  ANPRM.                                                                                                        I. Executive Summary
                                                                                                          2017–N–6189 for ‘‘Tobacco Product                        A. Purpose of the ANPRM
                                                  DATES: Submit either electronic or                      Standard for Nicotine Level of Certain                   B. Summary of the Major Issues Raised in
                                                  written comments on the ANPRM by                        Tobacco Products.’’ Received                               the ANPRM
                                                  June 14, 2018.                                          comments, those filed in a timely                     II. Background



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                                                                            Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                                            11819

                                                     A. Purpose                                           minimally addictive or nonaddictive                   central nervous system effects
                                                     B. Legal Authority                                   (however that were achieved) could                    contributing to addiction may be lower’’
                                                  III. Health Consequences of Combusted                   help current users quit and prevent                   (Ref. 2). The study authors concluded
                                                        Tobacco Products
                                                                                                          future users from becoming addicted                   that ‘‘[p]reventing children from
                                                     A. Nicotine in Combusted Tobacco
                                                        Products and Its Impact on Users                  and escalating to regular use.                        becom[ing] addicted smokers and giving
                                                     B. Negative Health Effects of Combusted                                                                    people greater freedom to stop smoking
                                                                                                          B. Summary of the Major Issues Raised
                                                        Tobacco Product Use                                                                                     when they decide to quit by reducing
                                                                                                          in the ANPRM
                                                  IV. Requests for Comments and Information                                                                     the addictiveness of cigarettes is a
                                                     A. Scope                                                In this ANPRM, FDA is seeking                      policy that increasingly appears to be
                                                     B. Maximum Nicotine Level                            information on a variety of issues                    feasible and warranted’’ (id.). We
                                                     C. Implementation (Single Target vs.                 regarding the development of a tobacco                specifically request comment regarding
                                                        Stepped-Down Approach)                            product standard that would limit the                 this paper’s conclusions and the
                                                     D. Analytical Testing Method                         amount of nicotine in cigarettes.
                                                     E. Technical Achievability                                                                                 possible impact of higher or lower
                                                     F. Possible Countervailing Effects
                                                                                                          Specifically, FDA is seeking your                     maximum nicotine levels in a potential
                                                     G. Other Considerations                              comments, evidence, and other                         nicotine tobacco product standard. If
                                                  V. Potential Public Health Benefits of                  information supporting your responses                 FDA were to pursue a nicotine tobacco
                                                        Preventing Initiation to Regular Use and          to questions on the following topics:                 product standard, it would be important
                                                        Increasing Cessation                                 • Scope—Cigarettes are the tobacco                 for FDA to consider what maximum
                                                     A. Smoking Cessation Would Lead to                   product category that causes the greatest             nicotine level for such standard would
                                                        Substantial Public Health Benefits for            burden of harm to public health given                 be appropriate, how this maximum
                                                        People of All Ages                                the prevalence of cigarette use,
                                                     B. A Nicotine Tobacco Product Standard
                                                                                                                                                                nicotine level should be measured (e.g.,
                                                                                                          including among youth, and the toxicity               nicotine yield, nicotine in tobacco filler,
                                                        Could Lead to Substantial Improvement
                                                                                                          and addictiveness of these products and               something else), and how the threshold
                                                        in Public Health
                                                  VI. References                                          the resulting tobacco-related disease and             of nicotine addiction should be
                                                                                                          death across the population, including                measured, using the best available
                                                  I. Executive Summary                                    among non-users. If FDA were to                       science to determine a level that is
                                                  A. Purpose of the ANPRM                                 establish a nicotine tobacco product                  appropriate for the protection of the
                                                                                                          standard that covered only cigarettes,                public health. FDA seeks comment on a
                                                    Tobacco use causes a tremendous toll                  some number of addicted smokers could                 potential maximum nicotine level that
                                                  of death and disease every year, and                    migrate to other similar combusted                    would be appropriate for the protection
                                                  these effects are ultimately the result of              tobacco products to maintain their                    of the public health, in light of scientific
                                                  addiction to the nicotine in combustible                nicotine dose (or engage in dual use                  evidence about the addictive properties
                                                  cigarettes which causes repeated use of                 with other combusted tobacco                          of nicotine in cigarettes. FDA is
                                                  such products, thus repeatedly exposing                 products), potentially reducing the                   particularly interested in comments
                                                  users and non-users to toxicants. This                  positive public health impact of such a               about the merits of nicotine levels like
                                                  nicotine addiction causes users to                      rule. Because the scope would impact                  0.3, 0.4, and 0.5 mg nicotine/g of
                                                  engage in compulsive tobacco use,                       the potential public health benefits of a             tobacco filler, as well as other levels of
                                                  makes quitting less likely, and, thus,                  nicotine tobacco product standard, FDA                nicotine. FDA is also requesting any
                                                  repeatedly exposes them to thousands of                 is seeking comment on whether the                     information on additional scientific data
                                                  toxicants in combusted tobacco                          standard should cover any or all of the               and research which would provide
                                                  products. This is especially true with                  following products: Combusted                         information about specific groups
                                                  respect to cigarette smoking. Through                   cigarettes (which FDA has previously                  within the general population which
                                                  this ANPRM, FDA indicates that it is                    interpreted to include kreteks and                    may have an increased sensitivity to
                                                  considering the issuance of a product                   bidis), cigarette tobacco, roll-your-own              nicotine’s reinforcing effects, or who
                                                  standard to set a maximum nicotine                      (RYO) tobacco, some or all cigars, pipe               may have otherwise not been captured
                                                  level in cigarettes so that they are                    tobacco, and waterpipe tobacco. FDA                   in the literature on VLNC cigarettes. In
                                                  minimally addictive or nonaddictive,                    intends that any nicotine tobacco                     addition, FDA is considering and
                                                  using the best available science to                     product standard would cover all                      requesting information on additional
                                                  determine a level that is appropriate for               brands in a particular product category               scientific data and research relevant to
                                                  the protection of the public health. The                and, therefore, those products currently              the empirical basis for regulatory
                                                  Agency seeks information and comment                    on the market and any new tobacco                     decisions related to a potential nicotine
                                                  on a number of issues associated with                   products would be expected to adhere                  product standard.
                                                  such a potential product standard.                      to the standard.                                         • Implementation—If FDA were to
                                                  Greatly reducing or eliminating the                        • Maximum Nicotine Level—FDA has                   issue a product standard establishing a
                                                  addictiveness of cigarettes would have                  considered the existing peer-reviewed                 maximum nicotine level for cigarettes,
                                                  significant benefits for youth, young                   studies regarding very low nicotine                   such a standard could propose either a
                                                  adults, and adults. More than half of                   content (VLNC) cigarettes and the likely              single target (where the nicotine is
                                                  adult cigarette smokers make a serious                  effects of reducing nicotine in                       reduced all at once) or a stepped-down
                                                  quit attempt each year (quit for at least               combusted tobacco products (i.e.,                     approach (where the nicotine is reduced
                                                  a day), many of whom do not succeed                     cigarettes, cigars, pipe tobacco, roll-               gradually over time through a sequence
                                                  due to the addictive nature of these                    your-own tobacco, and waterpipe                       of incremental levels and
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                                                  products (Ref. 1). The establishment of                 tobacco). A 2013 survey paper noted                   implementation dates) to reach the
                                                  a maximum nicotine level in cigarettes                  that researchers initially estimated that             desired maximum nicotine level.
                                                  not only could increase the likelihood of               reducing the total nicotine content of                   • Analytical Testing Method—As part
                                                  successful quit attempts, but it also                   cigarettes to 0.5 milligrams (mg) per rod             of its consideration regarding a potential
                                                  could help prevent experimenters                        would minimize addictiveness and that                 nicotine tobacco product standard, FDA
                                                  (mainly youth and young adults) from                    a ‘‘more recent analysis suggests that the            is also considering whether such a
                                                  initiating regular cigarette smoking.                   maximum allowable nicotine content                    product standard should specify a
                                                  Therefore, rendering cigarettes                         per cigarette that minimizes the risk of              method for manufacturers to use to


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                                                  11820                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

                                                  detect the level of nicotine in their                   a nicotine tobacco product standard                   results, and other information regarding
                                                  products. FDA believes that the results                 could turn to other combusted tobacco                 economic impacts of a potential
                                                  of any test to measure the nicotine in                  products to maintain their nicotine                   nicotine tobacco product standard.
                                                  such products should be comparable                      dependence, both in combination with                    Further, this ANPRM briefly describes
                                                  across different accredited testing                     cigarettes (i.e., dual use) or in place of            the potential public health benefits that
                                                  facilities and products. It is critical that            cigarettes (i.e., switching). Coverage of             could result from the increased
                                                  the results from the test method used                   other combusted tobacco products, as                  cessation from and decreased initiation
                                                  demonstrate a high level of specificity,                FDA is considering, is one way to                     to regular use of cigarettes that FDA
                                                  accuracy, and precision in measuring a                  significantly limit this product                      expects could occur with a nicotine
                                                  range of nicotine levels across a wide                  migration or transition to dual use with              tobacco product standard. FDA
                                                  variety of tobacco blends and products.                 other combusted tobacco products.                     references findings from a population-
                                                  FDA is aware of a variety of methods                       Another possible countervailing effect             based simulation model that projects the
                                                  being developed that quantify nicotine                  is the potential for increased harm due               potential public health impact of
                                                  in tobacco or tobacco product filler for                to continued VLNC smoking with                        enacting a regulation lowering nicotine
                                                  various products.                                       altered smoking behaviors (e.g., increase             levels in cigarettes and certain other
                                                     • Technical Achievability—If FDA                     in number of cigarettes smoked,                       combusted tobacco products to
                                                  were to move forward in this area and                   increased depth of inhalation). Some                  minimally addictive levels, utilizing
                                                  proceed to the next step of issuing a                   studies of VLNC cigarettes with nicotine              inputs derived from empirical evidence
                                                  proposed rule, section 907(b)(1) of the                 levels similar to what FDA may                        and expert opinion (eight subject matter
                                                  Federal Food, Drug, and Cosmetic Act                    consider including in a nicotine tobacco              experts provided quantitative estimates
                                                  (the FD&C Act) (21 U.S.C. 387g(b)(1)                    product standard have not resulted in                 for the potential outcomes of the policy
                                                  would require that FDA consider                         compensatory smoking and have                         on smoking cessation, initiation,
                                                  information submitted in connection                     demonstrated reductions in cigarettes                 switching, and dual use rates). Based on
                                                  with that proposed product standard                     smoked per day and in exposure to                     the experts’ determinations that the
                                                  regarding technical achievability of                    harmful constituents (e.g., Ref. 3; Ref. 4;           reduction in nicotine levels in
                                                  compliance. FDA continues to analyze                    Ref. 5).                                              combusted tobacco products would
                                                  the technical achievability of a                           Another possible countervailing effect             create substantial reductions in smoking
                                                  maximum nicotine level for cigarettes as                of setting a maximum nicotine level for               prevalence due to increased smoking
                                                  part of its broader assessment of how                   cigarettes could be users seeking to add              cessation and reduced initiation of
                                                  best to exercise its regulatory authority               nicotine in liquid or other form to their             regular smoking, the model calculates
                                                  in this area. Significant nicotine                      combusted tobacco product. Therefore,                 that by the year 2100, more than 33
                                                  reductions in cigarettes and other                      FDA is considering whether any action                 million youth and young adults who
                                                  combusted tobacco products can be                       it might take to reduce nicotine in                   would have otherwise initiated regular
                                                  achieved principally through tobacco                    cigarettes should be paired with a                    smoking would not start as a result of
                                                  blending and cross-breeding plants,                     provision that would prohibit the sale or             a nicotine tobacco product standard.
                                                  genetic engineering, and chemical                       distribution of any tobacco product                   The model also projected that
                                                  extraction. Agricultural practices (e.g.,               designed for the purposes of                          approximately 5 million additional
                                                  controlled growing conditions,                          supplementing the nicotine content of                 smokers would quit smoking 1 year after
                                                  fertilization, and harvest) as well as                  the combusted tobacco product (or                     implementation of the product standard,
                                                  more recent, novel techniques also can                  where the reasonably foreseeable use of               compared to the baseline scenario,
                                                  help to reduce nicotine levels. FDA is                  the product is for the purposes of
                                                                                                                                                                which would increase to approximately
                                                  considering the feasibility of the current              supplementing the nicotine content).
                                                                                                                                                                13 million additional former smokers
                                                  nicotine reduction techniques—for                       FDA is also considering other regulatory
                                                                                                                                                                within 5 years after policy
                                                  cigarette and other combusted tobacco                   options to address this concern.
                                                                                                             FDA is also considering whether                    implementation.
                                                  product manufacturers of all sizes—to
                                                  significantly reduce nicotine levels to                 illicit trade could occur as a result of a            II. Background
                                                  levels similar to those in existing VLNC                nicotine tobacco product standard and
                                                                                                          how that could impact the marketplace.                A. Purpose
                                                  cigarettes. FDA also is considering the
                                                  proper timeframe for implementation of                  In addition, FDA is considering how, if                 On July 28, 2017, FDA announced a
                                                  a possible nicotine tobacco product                     FDA were to issue a nicotine tobacco                  comprehensive approach to the
                                                  standard to allow adequate time for                     product standard that prompted an                     regulation of nicotine that includes the
                                                  industry to comply. In addition, FDA is                 increase in the illicit market,                       Agency’s plan to begin a public dialogue
                                                  seeking data and information regarding                  comprehensive interventions could                     about lowering nicotine levels in
                                                  the potential costs, including possible                 reduce the size of the illicit tobacco                combustible cigarettes to minimally
                                                  costs to farmers, to implement such a                   market through enforcement                            addictive or nonaddictive levels through
                                                  standard.                                               mechanisms and collaborations across                  achievable product standards, including
                                                     • Possible Countervailing Effects—                   jurisdictions.                                        the issuance of an ANPRM to seek input
                                                  There may be possible countervailing                       • Other Considerations—FDA also                    on the potential public health benefits
                                                  effects that could diminish the                         recognizes that, if FDA were to proceed               and any possible adverse effects of
                                                  population health benefits expected as a                to the stage of proposing a rule in this              lowering nicotine in cigarettes. Tobacco
                                                  result of a nicotine tobacco product                    area, potential costs and benefits from a             use causes a tremendous toll of death
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                                                  standard. As part of any subsequent                     possible nicotine tobacco product                     and disease every year, and these effects
                                                  rulemaking, FDA would need to assess                    standard would be estimated and                       are ultimately the result of addiction to
                                                  these effects in comparison to the                      considered in an accompanying                         the nicotine contained in combustible
                                                  expected benefits, including among                      preliminary impact analysis, including                cigarettes, leading to repeated exposure
                                                  population subgroups. One possible                      the potential impacts on growers of                   to toxicants from such cigarettes. This
                                                  countervailing effect is continued                      tobacco and current users of potentially              nicotine addiction causes users to
                                                  combusted tobacco product use. Current                  regulated products. Thus, FDA is also                 engage in compulsive use, makes
                                                  smokers of tobacco products subject to                  seeking comments, data, research                      quitting less likely and, therefore,


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                                                                             Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                                            11821

                                                  repeatedly exposes them (and others) to                    2014, the Surgeon General estimated                   (Ref. 15). FDA expects that making
                                                  thousands of toxicants in combusted                        that, unless this trajectory is changed               cigarettes minimally addictive or
                                                  tobacco products. This is especially true                  dramatically, 5.6 million youth aged 0                nonaddictive (however that were
                                                  with respect to cigarette smoking.                         to 17 years alive today will die                      achieved) may have significant benefits
                                                  Researchers have found that the                            prematurely from a smoking-related                    for youth by reducing the risk that youth
                                                  mortality rate from any cause of death                     disease (Ref. 7 at table 12.2.2). In 2009,            experimenters progress to regular use of
                                                  at any given age is 2 to 3 times higher                    Congress estimated that a 50 percent                  cigarettes as a result of nicotine
                                                  among current cigarette smokers,                           reduction in youth smoking would also                 dependence.
                                                  compared to individuals who never                          result in approximately $75 billion in                   The adolescent brain is more
                                                  smoked (Ref. 6).1 Through this ANPRM,                      savings 4 attributable to reduced health              vulnerable to developing nicotine
                                                  FDA indicates that it is considering the                   care costs (see section 2(14) of the                  dependence than the adult brain; there
                                                  issuance of a product standard to set a                    Family Smoking Prevention and                         are also data from animal studies that
                                                  maximum nicotine level in cigarettes so                    Tobacco Control Act; 21 U.S.C. 387                    indicate that brain changes induced by
                                                  that they are minimally addictive or                       note). As further explained in this                   nicotine may have long-term
                                                  nonaddictive, using the best available                     ANPRM, if cigarettes were minimally                   consequences (i.e., the long-term
                                                  science to determine a level that is                       addictive or nonaddictive, it is expected             physical changes, caused by the
                                                  appropriate for the protection of the                      that many fewer youth and young adults                adolescent nicotine exposure, prevent
                                                  public health.2 The Agency seeks                           would be subjected to the impacts of                  the brain from reaching its full
                                                  information and comment on a number                        nicotine (which has a significantly                   potential, which could result in
                                                  of issues associated with such a                           stronger effect on the developing brains              permanent deficiencies) (Refs. 8 and 9).
                                                  potential product standard. Greatly                        of youth (e.g., Refs. 8 and 9)) from                  Adolescent tobacco users who initiated
                                                  reducing the addictiveness of cigarettes                   cigarettes, nor would they suffer from                tobacco use at earlier ages were more
                                                  would have significant benefits for                        the health and mortality effects of                   likely than those initiating at older ages
                                                  youth, young adults, and adults.3 More                     cigarette use.                                        to report symptoms of tobacco
                                                  than half of adult smokers make a                             Nicotine is powerfully addictive. The              dependence, putting them at greater risk
                                                  serious quit attempt each year (quit for                   Surgeon General has reported that 87                  for maintaining tobacco product use
                                                  at least a day), many of whom are not                      percent of adult smokers start smoking                into adulthood (Ref. 15). Evidence from
                                                  able to succeed due to the addictive                       before the age of 18 and half of adult                animal studies indicate that exposure to
                                                  nature of these products (Ref. 1). The                     smokers become addicted before the age                substances such as nicotine can disrupt
                                                  establishment of a maximum nicotine                        of 18, which is before the age at which               brain development and have long-term
                                                  level in cigarettes not only could                         they can legally buy a pack of cigarettes             consequences for executive cognitive
                                                  increase the likelihood of successful                      (Ref. 7). Nearly all smokers begin before             function (such as task-switching and
                                                  quit attempts, but it also could help                      the age of 25, which is the approximate               planning) and for the risk of developing
                                                  prevent experimenters (mainly youth)                       age at which the brain has completed                  a substance abuse disorder and various
                                                  from initiating regular use. Therefore,                    development (Ref. 8). Generally, those                mental health problems (particularly
                                                  FDA hypothesizes that making                               who begin smoking before the age of 18                affective disorders such as anxiety and
                                                  cigarettes minimally addictive or                          are not aware of the degree of                        depression) as an adult (Ref. 16). This
                                                  nonaddictive, using the best available                     addictiveness and the full extent of the              exposure to nicotine can also have long-
                                                  science to determine a level that is                       consequences of smoking when they                     term effects, including decreased
                                                  appropriate for the protection of the                      begin experimenting with tobacco use                  attention performance and increased
                                                  public health, would significantly                         (see, e.g., Ref. 10). Although youth                  impulsivity, which could promote the
                                                  reduce the morbidity and mortality                         generally believe they will be able to                maintenance of nicotine use behavior
                                                  caused by smoking.                                         quit when they want, in actuality they                (id.). Further, the 2010 Surgeon
                                                     Preventing nonsmokers, particularly                     have low success rates when making a                  General’s Report noted that symptoms
                                                  youth and young adults, from becoming                      quit attempt. For example, more than 60               of dependence could result from even a
                                                  regular smokers due to nicotine                            percent of high school aged daily                     limited exposure to nicotine during
                                                  addiction would allow them to avoid                        smokers have tried to quit but less than              adolescence (Ref. 17).
                                                  the severe adverse health consequences                     13 percent were successful at quitting                   For all these reasons, FDA is
                                                  of smoking and would result in                             for 30 days or more (Ref. 11). In                     considering limiting the addictiveness
                                                  substantial public health benefits. In                     addition, one study found that 3 percent              of cigarettes by setting a product
                                                                                                             of 12th grade daily smokers estimated                 standard establishing a maximum
                                                     1 The discussion of scientific data discussed in
                                                                                                             that they would ‘‘definitely’’ still be               nicotine level of cigarettes, to help
                                                  this ANPRM is not intended to cover all available                                                                prevent experimenters (who are mainly
                                                  information on this subject matter. Rather, it is          smoking in 5 years, while in reality 63
                                                  intended to provide only a sampling of some of the         percent of this population is still                   youth) from becoming addicted to
                                                  current research that could be relevant to                 smoking 7 to 9 years later (Ref. 12).                 tobacco and, thus, prevent them from
                                                  consideration of a potential nicotine tobacco
                                                                                                             Another survey revealed that ‘‘nearly 60              initiating regular use and from
                                                  product standard.                                                                                                increasing their risk of tobacco-related
                                                     2 The Family Smoking Prevention and Tobacco             percent of adolescents believe that they
                                                                                                             could smoke for a few years and then                  death and disease.
                                                  Control Act specifically prohibits the Agency from
                                                                                                                                                                      FDA is also considering this action
                                                  ‘‘requiring the reduction of nicotine yields of a          quit’’ (Ref. 13).
                                                  tobacco product to zero’’ but generally authorizes                                                               because age restrictions on the sale of
                                                                                                                Because it is such a powerful
                                                  FDA to issue a tobacco product standard setting a                                                                tobacco products, by themselves, are not
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                                                  maximum nicotine level. Section 907(C)(3)(B) of the        addiction, addiction to nicotine is often
                                                                                                                                                                   entirely effective in preventing youth
                                                  FD&C Act.                                                  lifelong (Ref. 14). Among adolescent
                                                                                                                                                                   from obtaining cigarettes or other
                                                     3 The definitions of ‘‘youth,’’ ‘‘young adults,’’ and   tobacco users in 2012, over half (52.2
                                                  ‘‘adults’’ can vary in scientific studies. The term                                                              combusted tobacco products. Youth
                                                                                                             percent) reported experiencing at least
                                                  ‘‘youth’’ generally refers to middle school and/or                                                               smokers get their cigarettes from a
                                                  high school age students. ‘‘Young adults’’ generally
                                                                                                             one symptom of tobacco dependence
                                                                                                                                                                   variety of sources, including directly
                                                  refers to individuals 18 to 24 years of age. In some
                                                  studies, ‘‘adults’’ may encompass individuals age            4 Congress’ estimate of approximately $75 billion   purchasing them from retailers, giving
                                                  18 to 24 but generally refers to those individual 24       in savings, if adjusted for inflation, would amount   others money to buy them, obtaining
                                                  to 65 years of age.                                        to $83.63 billion in 2017.                            them from other youth or adults (with


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                                                  11822                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

                                                  or without their knowledge), or using                   nicotine exposure and have been found                 that meet the statutory definition of
                                                  illegal means (i.e., shoplifting or                     to be reinforcing without concomitant                 tobacco product.
                                                  stealing) (Ref. 18). The 2015 National                  nicotine exposure in experienced users                  Among the authorities included in
                                                  Youth Risk Behavior Surveillance                        (Ref. 27). Once tobacco users become                  chapter IX of the FD&C Act is the
                                                  Survey (YRBS) of high school students                   addicted to nicotine, they require                    authority to establish tobacco product
                                                  in grades 9 through 12 found that 12.6                  nicotine to avoid certain withdrawal                  standards. The Act authorizes FDA to
                                                  percent of current cigarette smokers                    symptoms. In the process of obtaining                 adopt a tobacco product standard under
                                                  under age 18 had purchased their                        nicotine, users of combusted tobacco                  section 907 of the FD&C Act if the
                                                  cigarettes directly from stores or gas                  products are exposed to an array of                   Secretary of Health and Human Services
                                                  stations despite the Federal minimum                    toxicants in tobacco and tobacco smoke                (HHS) finds that a tobacco product
                                                  age requirements for cigarettes (Ref. 19).              that lead to a substantially increased                standard is appropriate for the
                                                  While continued vigorous enforcement                    risk of morbidity and mortality (see, e.g.,           protection of the public health. In
                                                  of youth access restrictions is critical to             Ref. 10). Although most current U.S.                  making such a finding, the Secretary of
                                                  protecting public health, FDA is                        smokers report that they want to quit                 HHS must consider scientific evidence
                                                  considering taking this additional step                 smoking, have attempted to quit, and                  concerning: (1) The risks and benefits of
                                                  to ensure that even if youth do obtain                  regret starting (see, e.g., Refs. 28 and 29),         the proposed standard to the population
                                                  access to cigarettes, they will be less                 many smokers find it difficult to break               as a whole, including users and
                                                  likely to: (1) Become addicted to these                 their addiction and quit. Because of                  nonusers of tobacco products; (2) the
                                                  products; (2) initiate regular use; and (3)             nicotine addiction, many smokers lack                 increased or decreased likelihood that
                                                  increase their risk of the many diseases                the ability to choose whether or not to               existing users of tobacco products will
                                                  caused by, and debilitating effects of,                 continue smoking these toxic                          stop using such products; and (3) the
                                                  combusted tobacco product use (Ref.                     combusted products despite their stated               increased or decreased likelihood that
                                                  20).                                                    desire to quit (see, e.g., Ref. 17).                  those who do not use tobacco products
                                                     Similarly, limiting the nicotine in                                                                        will start using such products (section
                                                                                                             Accordingly, FDA is considering
                                                  cigarettes could have significant benefits                                                                    907(a)(3)(B)(i) of the FD&C Act).
                                                                                                          whether to issue a tobacco product
                                                  for adult tobacco product users, a large                                                                        Section 907(a)(4) of the FD&C Act
                                                                                                          standard to: (1) Give addicted users of               states that tobacco product standards
                                                  majority of whom want to quit but are
                                                                                                          cigarettes the choice and ability to quit             must include provisions that are
                                                  unsuccessful because of the highly
                                                                                                          more easily by reducing the nicotine to               appropriate for the protection of the
                                                  addictive nature of these products (see,
                                                                                                          a minimally addictive or nonaddictive                 public health. Section 907(a)(4)(B)(i)
                                                  e.g., Ref. 21). Data from the 2015
                                                                                                          level and (2) reduce the risk of                      provides that a product standard must
                                                  National Health Interview Survey show
                                                                                                          progression to regular use and nicotine               include, where appropriate for the
                                                  that 68 percent of current adult cigarette
                                                                                                          dependence for persons who                            protection of the public health,
                                                  smokers in the United States wanted to
                                                                                                          experiment with the tobacco products                  provisions respecting the construction,
                                                  quit and 55.4 percent of adult cigarette
                                                  smokers made a past-year quit attempt                   covered by the standard. FDA                          components, ingredients, additives,
                                                  of at least 1 day (Ref. 22). In high-                   hypothesizes that making cigarettes                   constituents, including smoke
                                                  income countries, about 7 of 10 adult                   minimally addictive or nonaddictive,                  constituents, and properties of the
                                                  smokers say they regret initiating                      using the best available science to                   tobacco product. Further, section
                                                  smoking and would like to stop (Ref. 23                 determine a level that is appropriate for             907(a)(4)(A)(i) states that provisions in
                                                  at p. 2). Decreasing the nicotine in                    the protection of the public health,                  tobacco product standards must
                                                  cigarettes so that they are minimally                   could significantly reduce the morbidity              include, where appropriate, provisions
                                                  addictive or nonaddictive (using the                    and mortality caused by smoking.                      for nicotine yields. Section
                                                  best available science to determine a                   B. Legal Authority                                    907(a)(4)(B)(ii) also provides that a
                                                  level that is appropriate for the                                                                             product standard must, where
                                                  protection of the public health) could                    The Family Smoking Prevention and                   appropriate for the protection of public
                                                  help users quit if they want to—as the                  Tobacco Control Act (Tobacco Control                  health, include ‘‘provisions for the
                                                  large majority of users say they do (e.g.,              Act) was enacted on June 22, 2009,                    testing (on a sample basis or, if
                                                  Ref. 21).                                               amending the FD&C Act and providing                   necessary, on an individual basis) of the
                                                     Although many factors contribute to                  FDA with the authority to regulate                    tobacco product.’’ In addition, section
                                                  an individual’s initial experimentation                 tobacco products (Pub. L. 111–31).                    907(a)(4)(B)(iv) provides that, where
                                                  with tobacco products, the addictive                    Section 901 of the FD&C Act (21 U.S.C.                appropriate for the protection of public
                                                  nature of tobacco is the major reason                   387a), as amended by the Tobacco                      health, a product standard must include
                                                  people progress to regular use, and it is               Control Act, granted FDA authority to                 provisions requiring that the results of
                                                  the presence of nicotine that causes                    regulate the manufacture, marketing,                  the tests of the tobacco product required
                                                  youth, young adults, and adult users to                 and distribution of cigarettes, cigarette             under section 907(a)(4)(B)(ii) show that
                                                  become addicted to, and to sustain,                     tobacco, RYO tobacco, and smokeless                   the product is in conformity with the
                                                  tobacco use (see, e.g., Refs. 24 and 25).               tobacco to protect the public health and              portions of the standard for which the
                                                  While nicotine is the primary addictive                 to reduce tobacco use by minors. The                  test(s) were required. Finally, section
                                                  chemical in tobacco, sensorimotor                       Tobacco Control Act also gave FDA the                 907(d)(3)(B) of the FD&C Act prohibits
                                                  stimuli that are repeatedly paired with                 authority to issue a regulation deeming               the Agency from issuing a regulation
                                                  nicotine through the process of smoking                 other products that meet the statutory                that would require the reduction of
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                                                  also develop into conditioned                           definition of tobacco product to be                   nicotine yields of a tobacco product to
                                                  reinforcers that contribute to the                      subject to FDA’s tobacco product                      zero.
                                                  persistent nature of nicotine                           authority under chapter IX of the FD&C                  The FD&C Act also provides FDA
                                                  dependence (Ref. 26). In cigarette users,               Act. On May 10, 2016, FDA issued the                  with authority to issue regulations
                                                  the sensory aspects of smoking, such as                 deeming rule (81 FR 28973), extending                 establishing restrictions on the sale and
                                                  taste and sensations of smoking (e.g.,                  FDA’s tobacco product authority to all                distribution of a tobacco product
                                                  throat hit), are often reinforcing as they              tobacco products, other than the                      (section 906(d)(1) of the FD&C Act (21
                                                  have been paired repeatedly with                        accessories of deemed tobacco products,               U.S.C. 387f(d)(1))). These restrictions


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                                                                            Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                                            11823

                                                  may include restrictions on the access                  General’s Report states that 5.6 million              actions) regarding tobacco within 1 or 2
                                                  to, and the advertising and promotion                   youth currently 0 to 17 years of age are              days of first inhaling from a cigarette
                                                  of, the tobacco product, if the Secretary               projected to die prematurely from                     (Refs. 41 and 42). Another study found
                                                  of HHS determines such regulation                       smoking-related illnesses (Ref. 7 at pp.              that 19.4 percent of adolescents who
                                                  would be appropriate for the protection                 666–667). Accordingly, using the best                 smoked weekly also were considered to
                                                  of the public health.                                   available science to determine a level                be nicotine dependent (Ref. 43). In a
                                                     FDA intends to use the information                   that is appropriate for the protection of             study regarding nicotine dependence
                                                  submitted in response to this ANPRM,                    the public health, making cigarettes                  among recent onset adolescent smokers,
                                                  its independent scientific knowledge,                   minimally addictive or nonaddictive                   individuals who smoked cigarettes at
                                                  and other appropriate information, to                   would limit the number of youth and                   the lowest levels (i.e., smoking on only
                                                  further inform its thinking about                       young adults who progress from                        1 to 3 days of the past 30 days)
                                                  options, including the scope, for a                     experimentation to regular use and who,               experienced nicotine dependence
                                                  potential product standard that would                   thereby, increase their risk for                      symptoms such as loss of control over
                                                  set a maximum nicotine level for                        dangerous smoking-related diseases.                   smoking (42 percent) and irritability
                                                  cigarettes, and restrictions prohibiting                   Researchers have determined that                   after not smoking for a while (23
                                                  the sale and distribution of any product                almost one-third of adolescents aged 11               percent) (Ref. 44). Researchers in a 4-
                                                  that violates such a standard.                          to 18 (31 percent) are ‘‘early                        year study of sixth grade students also
                                                                                                          experimenters,’’ meaning that they have               found that ‘‘[e]ach of the nicotine
                                                  III. Health Consequences of Combusted                   tried smoking at least one puff of a
                                                  Tobacco Products                                                                                              withdrawal symptoms appeared in some
                                                                                                          cigarette (but smoked no more than 25                 subjects prior to daily smoking’’ (Ref.
                                                  A. Nicotine in Combusted Tobacco                        cigarettes in their lifetime) (Ref. 37). The          42) (emphasis added). Ten percent of
                                                  Products and Its Impact on Users                        Centers for Disease Control and                       the subjects showed signs of addiction
                                                                                                          Prevention (CDC) and other researchers                to tobacco use within 1 or 2 days of first
                                                     Tobacco products are addictive,                      have estimated that 30 percent or more
                                                  primarily due to the presence of                                                                              inhaling from a cigarette, and half had
                                                                                                          of experimenters become established                   done so by the time they were smoking
                                                  nicotine, and the magnitude of public                   smokers (Ref. 37, citing Refs. 38 and 39).
                                                  health harm caused by tobacco products                                                                        seven cigarettes per month (Ref. 42).
                                                                                                          Given these past trends, if one applies                  It is clear that many adult cigarette
                                                  is inextricably linked to their addictive               the 30 percent estimate to the
                                                  nature (Ref. 13 at p. xi). Cigarettes are                                                                     smokers want to quit. Data from the
                                                                                                          adolescents who were early                            2015 National Health Interview Survey
                                                  the most widely used tobacco products                   experimenters in 2000, then 2.9 million
                                                  among adults and are responsible for at                                                                       show that 68 percent of current adult
                                                                                                          of these early experimenters have now
                                                  least 480,000 premature deaths in the                                                                         smokers in the United States wanted to
                                                                                                          or will become established smokers
                                                  United States each year (Ref. 7). Other                                                                       quit and 55.4 percent of adult smokers
                                                                                                          (Ref. 37). Based on the number of
                                                  combusted tobacco products that are                                                                           made a past-year quit attempt of at least
                                                                                                          persons aged 0 to 17 in 2012, the
                                                  possible targets of product migration                                                                         1 day (Ref. 22). According to an analysis
                                                                                                          Surgeon General estimated that
                                                  (i.e., switch candidates for smokers to                                                                       of this survey, only 7.4 percent of
                                                                                                          17,371,000 of that group will become
                                                  maintain their nicotine addiction) or                                                                         former adult cigarette smokers had
                                                                                                          future smokers and 5,557,000 will die
                                                  dual use have similar adverse health                                                                          recently quit (id.).
                                                                                                          from a smoking-related disease (Ref. 7 at
                                                  effects and can cause nicotine                          T. 12.2.1). These high numbers speak to                  For adult smokers who report quit
                                                  dependence (Refs. 30 and 31). For                       the extreme vulnerability of today’s                  attempts, many of these attempts are
                                                  example, researchers have found that                    children and adolescents to the health                unsuccessful. For example, among the
                                                  current exclusive cigar smokers and                     harms of tobacco use resulting from                   19 million adults who reported
                                                  current exclusive pipe smokers have an                  addiction.                                            attempting to quit in 2005,
                                                  increased risk for lung cancer and                         Nicotine addiction is a critical factor            epidemiologic data suggest that only 4
                                                  tobacco-related cancers overall, as                     in the transition of smokers from                     to 7 percent were successful (Ref. 28 at
                                                  compared to those who reported never                    experimentation to sustained smoking                  p. 15). Similarly, the Institute of
                                                  using any type of combusted tobacco                     and in the continuation of smoking for                Medicine (IOM), considering data from
                                                  product (Ref. 32). We note that there is                those who want to quit (Ref. 7 at p. 113;             2004, found that although
                                                  a dose-response relationship between                    Ref. 17). Intermittent smokers, even very             approximately 40.5 percent of adult
                                                  the number of cigars and pipes smoked                   infrequent smokers, can become                        smokers reported attempting to quit in
                                                  and the risk of disease (i.e., the larger               addicted to tobacco products (Ref. 40).               that year, only between 3 and 5 percent
                                                  the number of cigars or pipes smoked,                   Longitudinal research has shown that                  were successful (Ref. 13 at p. 82). Adult
                                                  the higher the risk of disease) (Ref. 31                smoking typically begins with                         smokers may make as many as thirty or
                                                  at 110), but cigar and pipe users are still             experimental cigarette use and the                    more quit attempts before succeeding
                                                  subject to the addictive effects of                     transition to regular smoking can occur               (Ref. 45). FDA also notes that adults
                                                  nicotine through nicotine absorption                    relatively quickly by smoking as few as               with education levels at or below the
                                                  (and to the health impacts of long-term                 100 cigarettes (Ref. 8). Other research               equivalent of a high school diploma
                                                  use that may follow from regular use                    found that among the 3.9 million                      have the highest smoking prevalence
                                                  due to addiction) even if they report that              middle and high school students who                   levels but the lowest quit ratios (i.e., the
                                                  they do not inhale (Refs. 33–35).                       reported current use of tobacco products              ratio of persons who have smoked at
                                                     The Surgeon General has reported                     (including cigarettes and cigars) in 2012,            least 100 cigarettes during their lifetime
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                                                  that ‘‘most people begin to smoke in                    2 million of those students reported at               but do not currently smoke to persons
                                                  adolescence and develop characteristic                  least one symptom of dependence (Ref.                 who report smoking at least 100
                                                  patterns of nicotine dependence before                  15).                                                  cigarettes during their lifetime) (Ref. 46).
                                                  adulthood’’ (Ref. 36 at p. 29).                            Although the majority of adolescent                Nicotine addiction and associated
                                                  Adolescents develop physical                            daily smokers meet the criteria for                   withdrawal symptoms make it difficult
                                                  dependence and experience withdrawal                    nicotine dependence, one study found                  for smokers to quit without using
                                                  symptoms when they try to quit                          that the most susceptible youth lose                  cessation counseling and/or cessation
                                                  smoking (id.). The 2014 Surgeon                         autonomy (i.e., independence in their                 medications.


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                                                  11824                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

                                                     Adolescents also experience low                      from cigarettes no matter how they                     means through which it is delivered can
                                                  success rates when attempting to quit.                  smoked them and eventually would                       either reduce or enhance a product’s
                                                  As we have noted, most Americans who                    stop trying to do so) (e.g., Refs. 4, 5, and           potential for abuse and physiological
                                                  use tobacco products begin using when                   53), making it potentially easier for                  effects (Ref. 17 at p. 113). Quicker
                                                  they are under the age of 18 and become                 smokers to make more successful quit                   delivery, higher rate of absorption, and
                                                  addicted before reaching the age of 18                  attempts and likely leading to a                       higher resulting concentration of
                                                  (Refs. 36 and 47). Although many                        potentially substantial reduction in the               nicotine increase the potential for
                                                  adolescents believe ‘‘they can quit                     rate of relapse compared to current                    addiction (id. at p. 113). The ultimate
                                                  [smoking] at any time and therefore                     levels.5 Former smokers that choose to                 levels of nicotine absorbed into the
                                                  avoid addiction,’’ nicotine dependence                  switch completely to a potentially less                blood for different tobacco products
                                                  can be rapidly established (Ref. 13 at p.               harmful nicotine delivery product (e.g.,               (e.g., cigarettes and cigars) can be
                                                  89; see also Ref. 28 at p. 158). Research               electronic nicotine delivery systems                   similar in magnitude even though
                                                  has shown that some adolescents report                  (ENDS)) to maintain their nicotine dose                individuals may smoke them differently
                                                  symptoms of withdrawal and craving                      also would, to the extent that those                   and the rate of absorption may be
                                                  within days or weeks of beginning to                    products result in less harm,                          different (Ref. 25).
                                                  smoke (Ref. 48). As a result, many                      significantly reduce their risk of                        The significant negative health effects
                                                  adolescents are nicotine dependent                      tobacco-related death and disease.                     from cigarettes are a consequence of
                                                  despite their relatively short smoking                  Accordingly, rendering cigarettes                      long-term use. Children and adults
                                                  histories (Ref. 11). An analysis of data                minimally addictive or nonaddictive                    continue using cigarettes primarily as a
                                                  from the 2015 YRBS found that, of those                 (however that were achieved) would be                  result of their addiction to nicotine (e.g.,
                                                  currently smoking cigarettes, 45.4                      expected to address the principal reason               Ref. 7). Almost all adult smokers started
                                                  percent had tried to quit smoking                       that smokers are unable to quit smoking.               smoking cigarettes as children or young
                                                  cigarettes during the previous year (Ref.                                                                      adults, and half of adult smokers
                                                                                                          B. Negative Health Effects of Combusted
                                                  19). Likewise, an analysis of the 2012                                                                         became addicted before turning 18 (id.).
                                                                                                          Tobacco Product Use
                                                  National Youth Tobacco Survey (NYTS)                                                                              Cigarettes are responsible for
                                                  revealed that 51.5 percent of middle and                   Nicotine is a powerfully addictive                  hundreds of thousands of premature
                                                  high school student smokers had sought                  chemical. The effects of nicotine on the               deaths every year from many diseases,
                                                  to quit all tobacco use in the previous                 central nervous system occur rapidly                   put a substantial burden on the U.S.
                                                  year (Ref. 49).                                         after absorption (Ref. 25 at p. 12). Users             health care system, and cause massive
                                                     Relapse is the principal limiting factor             of combusted tobacco products absorb                   economic losses to society (Ref. 7 at pp.
                                                  in the transition of smoking to                         nicotine readily from tobacco smoke                    659–666; another perspective on this
                                                  nonsmoking status (Ref. 17). Relapse                    through the lungs (id. at p. iii). Nicotine            issue is provided by Sloan et al. (Ref.
                                                  refers to the point after an attempt to                 introduced through the lungs is rapidly                55)). Cigarette smoking causes more
                                                  stop smoking when tobacco use                           distributed to the brain (id. at p. 12).               deaths each year than AIDS, alcohol,
                                                  becomes ongoing and persistent (Ref.                    With regular use, nicotine levels                      illegal drug use, homicide, suicide, and
                                                  17, citing Ref. 50). Most smokers who                   accumulate in the body during the day                  motor vehicle crashes combined (Ref.
                                                  ultimately relapse do so soon after their               from the tobacco product use and then                  47). Every year, cigarette smoking is the
                                                  quit attempt (Ref. 17). One study found                 decrease overnight as the body clears                  primary causal factor for 163,700 deaths
                                                  that 80 to 90 percent of those                          the nicotine (id. at p. iii). Mild nicotine            from cancer, 160,600 deaths from
                                                  individuals who were smoking at 6                       intoxication even occurs in first-time                 cardiovascular and metabolic diseases,
                                                  months following a quit attempt had                     smokers (Ref. 25 at pp. 15–16).                        and 131,100 deaths from pulmonary
                                                  resumed smoking within 2 weeks                          Tolerance to the effects of nicotine                   diseases (Ref. 7 at p. 659). In the United
                                                  following their quit attempt (Ref. 51).                 develops rapidly.                                      States, about 87 percent of all lung
                                                  Long-term studies of individuals trying                    The addiction potential of a nicotine               cancer deaths, 32 percent of coronary
                                                  to quit smoking reveal that 30 to 40                    delivery system varies as a function of
                                                                                                                                                                 heart disease deaths, and 79 percent of
                                                  percent of those who quit smoking for                   its total nicotine dosing capability, the
                                                                                                                                                                 all cases of chronic obstructive
                                                  1 year eventually relapsed (id.). In fact,              speed at which it can deliver nicotine,
                                                                                                                                                                 pulmonary disease (COPD) are
                                                  one study following 840 participants for                the palatability and sensory
                                                                                                                                                                 attributable to cigarette smoking (id.).
                                                  more than 8 years found that                            characteristics of the system, how easy
                                                                                                                                                                 The 2014 Surgeon General’s Report
                                                  approximately one-half of smokers who                   it is for the user to extract nicotine, and
                                                                                                                                                                 states that 5.6 million youth currently 0
                                                  stopped smoking for 1 year relapsed to                  the cost of the delivery system (Ref. 54).
                                                                                                                                                                 to 17 years of age are projected to die
                                                  regular smoking within the subsequent                   A cigarette is an inexpensive and
                                                                                                                                                                 prematurely from smoking-related
                                                  7 years (Ref. 52). Researchers have                     extremely effective nicotine delivery
                                                                                                                                                                 illnesses (id. at pp. 666–667).
                                                  found that a higher frequency of                        device, which maximizes the cigarette’s
                                                                                                                                                                    Data from the CDC’s Smoking-
                                                  smoking predicts more severe                            addicting and toxic effects (id.). The
                                                                                                                                                                 Attributable Mortality, Morbidity, and
                                                  withdrawal symptoms and earlier                         amount of nicotine delivered and the
                                                                                                                                                                 Economic Costs system for 2005–2009
                                                  relapse after an attempt to quit smoking                                                                       (the most recent years for which
                                                                                                            5 As stated throughout the document, FDA
                                                  and is associated with early lapses after                                                                      analyses are available) indicate that
                                                                                                          expects that, to maintain their nicotine dose, some
                                                  cessation (Ref. 17 at p. 119). FDA                      number of addicted cigarette smokers could migrate     cigarette smoking and exposure to
                                                  specifically requests comment as to                     to other similar, combusted products (or engage in     cigarette smoke are responsible for at
                                                  whether higher frequency smokers                        dual use with such products) after the standard
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                                                                                                          went into effect, reducing the benefits of the
                                                                                                                                                                 least 480,000 premature deaths each
                                                  would experience more severe                                                                                   year (id. at p. 659). However, this
                                                                                                          product standard. Since the scope would impact the
                                                  withdrawal symptoms from the use of                     potential public health benefits of such a nicotine    estimate does not include deaths caused
                                                  VLNC cigarettes.                                        tobacco product standard, FDA is seeking comment       by other combusted forms of tobacco,
                                                     FDA expects that, if cigarettes were                 on whether the standard should cover any or all of
                                                                                                          the following products: Combusted cigarettes           such as cigars and pipes (id. at 665).6
                                                  minimally addictive or nonaddictive,
                                                                                                          (which FDA has previously interpreted to include
                                                  the nicotine level in cigarettes would be               kreteks and bidis), cigarette tobacco, roll-your-own     6 As discussed in Ref. 56, regular cigar smoking
                                                  self-limiting (i.e., smokers would be                   tobacco, some or all cigars, waterpipe tobacco, and    was responsible for approximately 9,000 premature
                                                  unable to obtain their nicotine dose                    pipe tobacco.                                          deaths and more than 140,000 years of potential life



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                                                                            Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                                                 11825

                                                  The three leading causes of smoking-                    disease and aortic aneurysm, with the                 successful quit attempts by the majority
                                                  attributable death for current and former               magnitude in risk a function of the                   of smokers seeking to quit smoking
                                                  smokers were lung cancer, heart disease,                amount smoked and depth of inhalation                 every year and potentially prevent
                                                  and COPD (id. at p. 660). For every                     (Ref. 31 at 119–155). Research indicates              experimenters from becoming regular
                                                  person who dies from a smoking-related                  that most cigar smokers do inhale some                smokers. However, if a standard were to
                                                  disease, approximately 30 more people                   amount of smoke, even when they do                    apply to cigarettes only, it could be
                                                  will suffer from at least one smoking-                  not intend to inhale, and are not aware               substantially less effective. Specifically,
                                                  related disease (Ref. 58).                              of doing so (Refs. 33 and 34). Even when              FDA expects that, to maintain their
                                                     Cigarettes also have deadly effects on               cigar smokers do not breathe smoke into               nicotine dose, some number of addicted
                                                  nonsmokers. From 2005 to 2009, an                       their lungs, they are still subject to the            cigarette smokers could migrate to other
                                                  estimated 7,330 lung cancer and 33,950                  addictive effects of nicotine through                 similar, combusted products (or begin to
                                                  heart disease deaths were attributable to               nicotine absorption (Refs. 33 and 35).                engage in dual use with such other
                                                  exposure to secondhand smoke (Ref. 7                    This is because cigar smoke dissolves in              products) after the standard went into
                                                  at p. 660). It is also well established that            saliva, allowing the smoker to absorb                 effect, reducing the benefits of the
                                                  secondhand tobacco smoke causes                         sufficient nicotine to create dependence,             product standard. Former smokers that
                                                  premature death and disease in children                 even if the smoke is not inhaled (Refs.               choose to switch completely to a
                                                  and in adults who do not smoke (see,                    35 and 62).                                           potentially less harmful nicotine
                                                  e.g., Ref. 59 at p. 11). According to the                  Regular cigar smoking (which, in this              delivery product (e.g., ENDS) to
                                                  Surgeon General’s Report, ‘‘50 Years of                 study, constituted use on at least 15 of              maintain their nicotine dose also would,
                                                  Progress: A Report of the Surgeon                       the past 30 days) was responsible for                 to the extent that those products result
                                                  General, 2014,’’ which summarizes                       approximately 9,000 premature deaths                  in less harm, significantly reduce their
                                                  thousands of peer-reviewed scientific                   and more than 140,000 years of                        risk of tobacco-related death and
                                                  studies and is itself peer-reviewed,                    potential life lost among adults aged 35              disease. Since the scope would impact
                                                  smoking remains the leading                             years or older in 2010 (Ref. 56).                     the potential public health benefits of
                                                  preventable cause of disease and death                  Researchers also have found that the                  such a nicotine tobacco product
                                                  in the United States, and cigarettes have               risk of dying from tobacco-related                    standard, FDA is seeking comment on
                                                  been shown to cause an ever-expanding                   cancers is higher from current exclusive              whether the standard should cover any
                                                  number of diseases and health                           pipe smokers and current exclusive                    or all of the following products:
                                                  conditions (Ref. 7 at pp. 107–621). As                  cigar smokers than for those who                      Combusted cigarettes (which FDA has
                                                  stated in the 2014 Report, ‘‘cigarette                  reported never using combusted tobacco                previously interpreted to include
                                                  smoking has been causally linked to                     products (Ref. 32).                                   kreteks and bidis), cigarette tobacco,
                                                  disease of nearly all organs of the body,               IV. Requests for Comments and                         RYO tobacco, some or all cigars, pipe
                                                  to diminished health status, and to harm                Information                                           tobacco, and waterpipe tobacco. FDA
                                                  to the fetus . . . [and] the burden of                                                                        intends that any nicotine tobacco
                                                  death and disease from tobacco use in                      To aid in its consideration regarding              product standard would cover all
                                                  the United States is overwhelmingly                     development of a nicotine tobacco                     brands in a product category and,
                                                  caused by cigarettes and other                          product standard, FDA is seeking                      therefore, those products currently on
                                                  combusted tobacco products’’ (Ref. 7 at                 comments, data, research results, and                 the market and any new tobacco
                                                  p. 7).                                                  other information related to questions                products would be expected to adhere
                                                     Other combusted tobacco products,                    under the following topics: Scope of                  to the standard.
                                                  particularly those that could be cigarette              products to be covered, maximum                          FDA is continuing to weigh several
                                                  alternatives if users were unable to                    nicotine level for a nicotine tobacco                 factors as it considers the scope of
                                                  continue smoking cigarettes, cause                      product standard, implementation,                     products that should be subject to any
                                                  similar negative health effects. For                    analytical testing, technical                         potential nicotine tobacco product
                                                  example, there is a long-standing body                  achievability, possible countervailing                standard—including the strength and
                                                  of research, including reports from the                 effects (including the potential for an               breadth of the available data derived
                                                  Surgeon General and National Cancer                     illicit market), and other considerations.            from studies of VLNC cigarettes on the
                                                  Institute (NCI), demonstrating that cigar               We ask that commenters clearly identify               likely effects of reducing nicotine 7 (as
                                                  use can cause serious adverse health                    the section and question associated with              discussed in section IV.B); current
                                                  effects (Ref. 31 at 119–155; Refs. 60, 61,              their responsive comments and                         prevalence and initiation rates for
                                                  and 33). NCI’s Smoking and Tobacco                      information.                                          different classes of tobacco products; the
                                                  Control Monograph No. 9 (‘‘Cigars:                      A. Scope                                              available data on the toxicity,
                                                  Health Effects and Trends’’), which                                                                           addictiveness, and appeal of the
                                                                                                            A tobacco product standard limiting                 products; the use topography of the
                                                  provides a comprehensive, peer-
                                                                                                          the nicotine level in cigarettes could                products (including quantity, frequency,
                                                  reviewed analysis of the trends in cigar
                                                                                                          address one of our nation’s greatest                  and duration of use); and the potential
                                                  smoking and potential public health
                                                                                                          public health challenges: The death and               for migration to, and dual use of,
                                                  consequences, as well as other research,
                                                                                                          disease caused by cigarette use.                      different products. Current VLNC
                                                  demonstrates that cigar smoking leads to
                                                                                                          Approximately 480,000 people die                      cigarette literature indicates that
                                                  an increased risk of oral, laryngeal,
                                                                                                          every year from smoking cigarettes (Ref.              reduction of nicotine in cigarettes
                                                  esophageal, pharyngeal, and lung
                                                                                                          7). Cigarettes are the tobacco product                would make it more likely for smokers
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                                                  cancers, as well as coronary heart
                                                                                                          category that causes the greatest burden              (even those not currently expressing a
                                                  lost among adults aged 35 years or older in 2010.
                                                                                                          of harm to public health as a result of               desire to quit) to cease cigarette use
                                                  The 2014 Surgeon General Report states that the         the prevalence of cigarette use and the               (e.g., Refs. 4, 5, 63, and 64). In light of
                                                  methodology for estimating the current population       toxicity and addictiveness of these                   these data, FDA also believes that
                                                  burden for use of combusted tobacco products other      products. FDA hypothesizes that a
                                                  than cigarettes remains under discussion, but the                                                             reduction of nicotine could help prevent
                                                  number of added deaths is expected to be in the
                                                                                                          tobacco product standard limiting the
                                                  thousands per year (Ref. 7 at 665, 14 SG; citing Ref.   nicotine level in cigarettes could                      7 VLNC cigarettes do not contain uniform

                                                  57).                                                    significantly increase the number of                  amounts of nicotine.



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                                                  11826                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

                                                  experimenters from becoming addicted                    or dual use candidates? If FDA were to                     products were marketed as low nicotine
                                                  to tobacco, resulting in regular tobacco                issue a nicotine tobacco product                           delivery or ‘‘light’’ cigarettes. However,
                                                  use.                                                    standard that did not include waterpipe                    cigarette users could modify their use
                                                     Based on these considerations, FDA is                tobacco products within the scope, what                    behaviors to compensate for this
                                                  seeking comment on whether any                          would be the likelihood that former                        increase in ventilation. For example, the
                                                  nicotine tobacco product standard                       smokers would switch to waterpipe                          vent holes could be easily blocked by
                                                  should cover any or all of the following                tobacco to maintain their nicotine                         users’ fingers or mouths, and larger or
                                                  products:                                               addiction? What are the relative risk                      more frequent puffs could be taken by
                                                     • Combusted cigarettes (which FDA                    consequences of switching to waterpipe                     consumers (Ref. 65). As a result, these
                                                  has previously interpreted to include                   tobacco?                                                   products were designed to make them
                                                  kreteks and bidis),                                                                                                ‘‘appear’’ light to the user but could
                                                     • Cigarette tobacco,                                 B. Maximum Nicotine Level
                                                                                                                                                                     deliver as much nicotine to the user as
                                                     • RYO tobacco,                                          As discussed throughout this                            high nicotine delivery cigarettes. The
                                                     • Cigars (some or all categories; i.e.,              document, nicotine is addictive and is                     compensatory behaviors of the cigarette
                                                  small cigars, large cigars, cigarillos, and/            the primary reason why many smokers                        user were able to overcome the changes
                                                  or so-called premium cigars),                           who want to quit are unable to do so.                      in ventilation in these higher ventilated
                                                     • Pipe tobacco, and                                  Accordingly, FDA is considering                            products.
                                                     • Waterpipe tobacco.                                 developing a proposed product standard
                                                     Please explain your responses and                                                                                  VLNC cigarettes, in contrast, have
                                                                                                          to make cigarettes minimally addictive                     relied on reducing nicotine content in
                                                  provide any evidence or other                           or nonaddictive by setting a maximum
                                                  information supporting your responses                                                                              the tobacco filler rather than
                                                                                                          nicotine level, using the best available                   engineering changes to the cigarette.
                                                  to the following questions:                             science to determine a level that is
                                                     1. If FDA were to propose a product                                                                             Patents reveal that more than 96 percent
                                                                                                          appropriate for the protection of the                      of nicotine can be successfully extracted
                                                  standard setting a maximum nicotine                     public health. FDA has considered
                                                  level, should such a standard cover                                                                                while achieving a product that ‘‘was
                                                                                                          several peer-reviewed studies regarding
                                                  other combusted tobacco products in                                                                                subjectively rated as average in smoking
                                                                                                          very low nicotine content (VLNC)
                                                  addition to cigarettes? If so, which other                                                                         characteristics’’ (Ref. 66) and that up to
                                                                                                          cigarettes 8 and the likely effects of
                                                  products? If FDA were to propose to                                                                                a 75 percent reduction in the nicotine
                                                                                                          reducing nicotine in combusted tobacco.
                                                  include additional categories of                                                                                   contained in a tobacco leaf can be
                                                                                                          A 2013 survey paper noted that
                                                  combusted tobacco products in a                                                                                    achieved with an ‘‘effective and
                                                                                                          researchers initially estimated that
                                                  nicotine tobacco product standard,                                                                                 economical system for producing
                                                                                                          reducing the total nicotine content of
                                                  should the standard be tailored to reflect                                                                         tobacco products . . . while
                                                                                                          cigarettes to 0.5 mg per rod would
                                                  differences in these products? What                                                                                maintaining other desirable ingredients
                                                                                                          minimize addictiveness and that a
                                                  criteria should be used to determine                                                                               for good taste and flavor’’ (Ref. 67).
                                                                                                          ‘‘more recent analysis suggests that the
                                                  whether, and which, products should be                  maximum allowable nicotine content                            In conventional cigarettes
                                                  covered?                                                per cigarette that minimizes the risk of                   manufactured in the United States,
                                                     2. Some suggest that large cigars and                central nervous system effects                             nicotine accounts for approximately 1.5
                                                  those cigars typically referred to as                   contributing to addiction may be lower’’                   percent of the cigarette weight, or 10–14
                                                  ‘‘premium’’ cigars should be regulated                  (Ref. 2). The study authors concluded                      mg of nicotine per cigarette (Refs. 68–
                                                  differently from other cigars, asserting                that ‘‘[p]reventing children from                          71) and generally have nicotine yields
                                                  that they are used primarily by adults                  becom[ing] addicted smokers and giving                     in the 1.1 mg to 1.7 mg (Ref. 31 at p.
                                                  and their patterns of use are different                 people greater freedom to stop smoking                     67). Certain VLNC cigarettes have much
                                                  from those of regular cigars (81 FR                     when they decide to quit by reducing                       lower nicotine yields than conventional
                                                  28973 at 29024). FDA requests                           the addictiveness of cigarettes is a                       cigarettes—in the 0.02–0.07 mg
                                                  information and data on whether large                   policy that increasingly appears to be                     nicotine/cigarette range—due to product
                                                  and/or so-called premium cigars should                  feasible and warranted’’ (id.). We                         changes that the user cannot overcome
                                                  be excluded from a possible nicotine                    specifically request comment regarding                     (Ref. 72). Reducing the nicotine in the
                                                  tobacco product standard based on                       this paper’s conclusions and the                           finished tobacco product places an
                                                  asserted different patterns of use, and                 possible impact of higher or lower                         absolute maximum limit on the amount
                                                  whether large and/or so-called premium                  maximum nicotine levels in a potential                     of nicotine that can be extracted by the
                                                  cigars would be migration (or dual use)                 nicotine tobacco product standard.                         user in a given cigarette, unlike
                                                  candidates if FDA were to issue a                         Early ‘‘light’’ cigarettes achieved a                    modifications such as ventilation holes,
                                                  nicotine tobacco product standard that                  reduction in machine-measured                              which affect nicotine yield in smoke but
                                                  excluded premium cigars from its scope.                 nicotine yield through a variety of                        can be overcome through user behavior.
                                                  FDA also requests data and information                  means, including through the use of                        See section IV.C of this document for a
                                                  on whether and how there is a way that,                 ventilation holes (although the actual                     discussion of possible compensatory
                                                  if FDA were to exclude premium cigars                   nicotine content was not low). This                        smoking under a single target approach
                                                  from the scope of a nicotine tobacco                    increase in ventilation led to lower                       or a stepped down approach to nicotine
                                                  product standard, FDA could define                      yields of nicotine in smoke as measured                    reduction.
                                                  ‘‘premium cigar’’ to include only                       by smoking machines, and these                             1. VLNC Cigarettes
                                                  unlikely migration or dual use products
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                                                  and thereby minimize such                                 8 Scientific  studies regarding VLNC cigarettes use         The first VLNC cigarettes studied by
                                                  consequences.                                           both ‘‘yield’’ and ‘‘content’’ to describe the amount      researchers were produced by Philip
                                                                                                          of nicotine in research cigarettes. ‘‘Yield’’ is the       Morris and marketed under the brand
                                                     3. Should waterpipe tobacco                          International Organization for Standardization (ISO)
                                                  products, which are different from                      machine-generated nicotine smoke yield, and                name ‘‘Next,’’ which was reported to
                                                  regular pipe tobacco, be included in                    ‘‘content’’ refers to the nicotine in the tobacco filler   contain 0.4 mg nicotine/g of tobacco
                                                                                                          of the entire finished product. ‘‘Yield’’ and              filler (Ref. 73). Later, the National
                                                  such a standard? Are there data showing                 ‘‘content’’ are not interchangeable terms. If neither
                                                  different use topographies or that they                 ‘‘yield’’ nor ‘‘content’’ is used, the nicotine levels
                                                                                                                                                                     Institute for Drug Abuse (NIDA)
                                                  are not likely to be migration substitutes              in these studies refer to content.                         contracted with the Ultratech/Lifetech


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                                                                                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                                                                                           11827

                                                  Corporation 9 to produce VLNC                                              reduced risk tobacco products,                                            Century is acting as a vendor for RTI for
                                                  cigarettes for research purposes (Ref. 74;                                 companies like 22nd Century are using                                     this contract manufacturing Spectrum
                                                  Ref. 75). The two types of cigarettes                                      genetic engineering and plant breeding                                    cigarettes that contain 0.4 mg nicotine/
                                                  produced were: (1) 1.1 mg/cigarette (cig)                                  to produce very low nicotine tobacco for                                  gram (g) of tobacco filler (id). Finally,
                                                  ISO smoke nicotine (7.2 mg nicotine/cig                                    incorporation into cigarettes. In 2014,                                   Philip Morris manufactured cigarettes
                                                  in filler) and (2) 0.07 mg/cig ISO smoke                                   the company was granted patents for its                                   with varying nicotine levels for research
                                                  nicotine (filler levels were reported as 0,                                process to virtually eliminate the                                        only (Ref. 79). FDA requests data and
                                                  but FDA has estimated these levels to be                                   nicotine in tobacco plants (Ref. 77).                                     information regarding the risks to
                                                  between 0.4 and 0.5 mg/cig) (Ref. 74).                                     Further, low-nicotine cigarettes are                                      smokers from inhalation of VLNC
                                                    Researchers also have used Quest                                         produced and distributed for research                                     cigarette smoke.
                                                  cigarettes, produced by Vector Tobacco,                                    purposes by Research Triangle Institute                                     Table 1 includes a list of VLNC
                                                  to study the impact of reduced nicotine                                    (RTI), under a contract for the NIDA’s                                    cigarettes used in research studies and
                                                  (Ref. 76). To provide consumers with                                       Drug Supply Program (Ref. 78). 22nd                                       their reported nicotine levels.

                                                       TABLE 1—FILLER NICOTINE AND ISO NICOTINE DELIVERY FOR LOW AND VERY LOW (*) NICOTINE CIGARETTES MADE
                                                                                 AVAILABLE EITHER COMMERCIALLY OR FOR RESEARCH
                                                                                                                                                                                                                                                       ISO Nicotine
                                                                                                                                                                                       Filler nicotine level
                                                                                     Type of cigarette                                                                                                                                                   delivery
                                                                                                                                                                                        (mg/g or mg/cig)                                                 (mg/cig)

                                                  Quest 1 .......................................................................................     12.5 mg/g; 8.9 mg/cig ................................................................                     0.6
                                                  Quest 2 .......................................................................................     6.4 mg/g; 5.1 mg/cig ..................................................................                    0.3
                                                  Quest 3 .......................................................................................     1.0 mg/g; 0.4 mg/cig ..................................................................                   *0.5
                                                  Ultratech/Lifetech ........................................................................         10.3 mg/g 1; 7.2 mg/cig ..............................................................                     1.1
                                                  Ultratech/Lifetech2 ......................................................................          0.6–0.7 mg/g 1; 0.4–0.5 mg/cig ..................................................                       *<0.06
                                                  Next ............................................................................................   0.4 mg/g .....................................................................................           *0.08
                                                  Spectrum high nicotine ...............................................................              11.4–12.8 mg/g ..........................................................................              0.6–1.0
                                                  Spectrum intermediate nicotine ..................................................                   5.7–5.8 mg/g ..............................................................................                0.3
                                                  Spectrum low nicotine ................................................................              0.4 mg/g .....................................................................................          *<0.04
                                                  Philip Morris 12 mg (for research only) ......................................                      14.4 mg/g 1; 10.1 mg/cig ............................................................                      0.9
                                                  Philip Morris 8 mg (for research only) ........................................                     10.6 mg/g 1; 7.4 mg/cig ..............................................................                     0.6
                                                  Philip Morris 4 mg (for research only) ........................................                     5 mg/g 1; 3.5 mg/cig ...................................................................                   0.3
                                                  Philip Morris 2 mg (for research only) ........................................                     2.1 mg/g 1; 1.5 mg/cig ................................................................                    0.2
                                                  Philip Morris 1 mg (for research only) ........................................                     0.9 mg/g 1; 0.6 mg/cig ................................................................                    0.1
                                                     1 mg/g     or mg/cigarette (cig) was calculated based on an estimate of 0.7 g of tobacco per cigarette (Ref. 80).
                                                     2 Filler   nicotine level was reported as 0 mg/cig, but FDA estimates the cigarette contained 0.4–0.5 mg/cig.


                                                  2. Estimate of Addiction Threshold                                         addictiveness. The first type uses                                        smokers (a group sometimes referred to
                                                  Levels                                                                     indirect estimates based on information                                   as tobacco ‘‘chippers’’) (Ref. 81, citing
                                                                                                                             in humans regarding nicotine intake in                                    Ref. 82,). In the 1994 review, researchers
                                                    In 1994, certain scientists proposed                                     smokers who appear not to be addicted                                     suggested that a threshold level of
                                                  the idea of federal regulation of nicotine                                 to nicotine to estimate a likely threshold                                nicotine per cigarette should be low
                                                  content, which could result in lower                                       level. A second type includes studies of                                  enough to prevent or limit the
                                                  intake of nicotine and a lower level of                                    VLNC use by study participants that                                       development of nicotine addiction in
                                                  nicotine dependence (Ref. 81). However,                                    have reported increased quit attempts                                     most young people, while providing
                                                  FDA acknowledges that there is                                             and cessation even in smokers not                                         enough nicotine for taste and sensory
                                                  individual variability in dose sensitivity                                 interested in quitting. A third type                                      sensation (e.g., Ref. 81). These
                                                  to all addictive substances, making it                                     includes studies that have revealed                                       researchers found that based on existing
                                                  difficult to determine a single addiction                                  reduced positive subjective effects and                                   studies at the time, ‘‘an absolute limit of
                                                  threshold which would apply across the                                     increased negative effects in VLNC                                        0.4 to 0.5 mg of nicotine per cigarette
                                                  population. A proposal to lower the                                        smokers. The fourth type includes                                         should be adequate to prevent or limit
                                                  nicotine in conventional cigarettes, or                                    studies measuring nicotine receptor                                       the development of addiction in most
                                                  any tobacco product, could merit                                           binding, which indicate that use of                                       young people. At the same time, it may
                                                  consideration only if there were a                                         VLNC cigarettes yields significantly                                      provide enough nicotine for taste and
                                                  threshold nicotine exposure level below                                    lower nicotinic acetylcholine receptor                                    sensory stimulation’’ (id.), which FDA
                                                  which the nicotine did not produce                                         (nAChR) occupancy and cerebral                                            interprets to mean that there would be
                                                  significant reinforcing effects or sustain                                 response.                                                                 enough nicotine for an experienced user
                                                  addiction in a majority of the                                               a. Indirect estimates of an addiction                                   to tell that there is nicotine in the
                                                  population. FDA continues to assess                                        threshold. In 1994, researchers                                           tobacco product.
                                                  VLNC cigarette studies analyzing                                           conducted a review to explore indirect                                      In another study seeking to estimate a
                                                  addiction threshold levels, as discussed
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                                                                                                                             estimates of an addiction threshold by                                    reinforcement threshold, scientists
                                                  in this section.                                                           focusing on the smoking habits of a                                       reviewed several studies, including one
                                                    Four primary study types speak to the                                    small population of smokers who                                           in which abstinent smokers received
                                                  level of nicotine in tobacco that could                                    demonstrate reduced nicotine                                              intravenous nicotine injections by
                                                  significantly reduce product                                               dependence, as compared to other                                          pulling a lever in a fixed ratio task (Ref.


                                                    9 Both Ultratech and Lifetech have been reported

                                                  as being the company through which NIDA
                                                  manufactured research cigarettes.

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                                                  11828                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

                                                  83). The authors found that studies                     decreases in nicotine content, but there              smoke VLNC cigarettes experience some
                                                  using intravenous nicotine                              was no effect on the biomarker 1-                     of the same subjective effects as those
                                                  administration suggest that the nicotine                hydroxpyrene (1–HOP) (Ref. 88). One                   individuals who smoke traditional, NNC
                                                  reinforcement threshold (i.e., the                      limitation of these studies is that they              cigarettes. For example, VLNC users
                                                  minimum amount of nicotine intake                       were conducted in an unregulated                      report experiencing reductions in
                                                  required to initiate or maintain self-                  environment in which smokers                          certain physiological withdrawal
                                                  administration) is between 1.5 to 6.0                   continued to have access to the normal                symptoms (e.g., craving, anxiety,
                                                  micrograms/kg in humans and 3 to 10                     nicotine content (NNC) cigarettes.                    irritability, depression) but do not
                                                  micrograms/kg in rats (Ref. 84).                           One of the more recent studies (Ref.               experience other symptoms associated
                                                  Although the study’s authors noted                      85) on this issue was a double-blind,                 with full nicotine content cigarettes
                                                  potential limitations (i.e., intravenous                parallel, randomized clinical trial                   (e.g., relief of physical withdrawal
                                                  delivery does not mimic inhalation,                     conducted between June 2013 and July                  symptoms, increased stimulation and
                                                  administration of nicotine alone omits                  2014 that evaluated 840 participants                  alertness, reduction in restlessness)
                                                  other psychoactive constituents in                      (780 completed the 6-week study) who                  (Refs. 44, 72, 74, 75, 89–93). Exposure
                                                  tobacco smoke, and other factors such as                were not interested in quitting smoking.              over multiple days generally leads to a
                                                  age, sex, and genetic variations may                    During the sixth week of the study, the               reduction in cigarettes smoked per day
                                                  influence nicotine’s reinforcing                        average number of cigarettes smoked per               (Ref. 87). Furthermore, physiological
                                                  properties) (Ref. 84), the lowest dose in               day was lower for participants randomly               responses after VLNC cigarettes, such as
                                                  the study overlaps with the upper limit                 assigned to cigarettes containing 2.4,                the increase in heart rate that is
                                                  of an addiction threshold estimated by                  1.3, or 0.4 mg of nicotine per gram of                typically observed following nicotine
                                                  the 1994 study (Ref. 81). Despite the                   tobacco (16.5, 16.3, and 14.9 cigarettes              administration, are less than those seen
                                                  study limitations of both these                         per day, respectively) than for those                 with higher nicotine cigarettes and are
                                                  estimates, they help provide a range on                 assigned to their usual cigarette brand or            absent in some cases (Ref. 74, 94, and
                                                  which to potentially base a nicotine                    those cigarettes containing 5.2 or 15.8               95). Thus, it appears that transitioning
                                                  level threshold.                                        mg per gram (22.2 and 21.3 cigarettes                 to VLNC cigarettes (from NNC
                                                     b. Findings of increased cessation for               per day, respectively) (Ref. 85). Those               cigarettes) may result in some
                                                  VLNC cigarettes. Several studies                        participants using cigarettes with the                behavioral and physiological responses
                                                  indicate that people using significantly                lowest nicotine content (0.4 mg per                   commonly experienced when using
                                                  reduced nicotine content cigarettes (as                 gram nicotine/gram of tobacco filler,                 standard NNC cigarettes (e.g., reduced
                                                  low as 0.4 mg nicotine/g of tobacco                     demonstrated reduced dependence, and                  appetite, increased alertness). These
                                                  filler) are more likely to consider                     use of reduced nicotine cigarettes,                   responses, where present, are lower
                                                  cessation (i.e., consider reducing                      including the VLNC cigarettes, with                   than those seen with standard nicotine
                                                  cigarette intake as a step towards                      minimal evidence of withdrawal-related                cigarettes and get progressively lower
                                                  cessation or consider fully ceasing                     discomfort or safety concerns (id.). The              over time.
                                                  cigarette intake), even if they had not                 authors concluded that this study                        d. Lower nAChR occupancy and
                                                  previously considered quitting (see, e.g.,              provides ‘‘preliminary-short term data                cerebral response from the use of VLNC
                                                  Refs. 4, 5, 63, and 64). These studies                  . . . [that] suggest that if nicotine                 cigarettes. VLNC cigarettes contain
                                                  were not investigating VLNC cigarettes                  content is adequately reduced, smokers                some nicotine, albeit at very low levels.
                                                  as cessation aids.                                      may benefit by smoking fewer cigarettes               Although there is enough nicotine in
                                                     Some studies showed that switching                   and experiencing less nicotine                        VLNC cigarettes to bind to acetylcholine
                                                  to VLNC cigarettes results in a reduced                 dependence, with few negative                         receptors in the brain, there is not
                                                  number of cigarettes smoked per day                     consequences’’ (id.).                                 enough to consistently produce the full
                                                  (Ref. 4; Ref. 76), reduced nicotine                        While these results, taken together                range of subjective responses (i.e., those
                                                  dependence (Refs. 4, 84, and 85), and                   with other studies, are promising, FDA                responses based on or influenced by
                                                  minimal evidence of withdrawal                          acknowledges the inherent limitations                 individual, internal perceptions or
                                                  distress and increased depression (Ref.                 of the available research on changes in               experiences) observed following use of
                                                  64, Ben 12; Refs. 85–87). On the other                  smoking as a function of VLNC                         NNC cigarettes (Refs. 74, 92, 96, and 97).
                                                  hand, other researchers have reported                   cigarettes use. As noted by the                       Therefore, VLNC cigarettes may not
                                                  the use of VLNC cigarettes did not                      investigators of the 2015 double-blind,               produce the full range of subjective
                                                  change the number of cigarettes smoked                  parallel, randomized clinical trial, ‘‘no             effects as NNC cigarettes. This supports
                                                  per day (Refs. 86 and 88), but they did                 large-scale clinical trials of reduced                the hypothesis that many subjective and
                                                  observe reductions in cotinine and                      nicotine cigarettes have been conducted.              physiological effects observed following
                                                  carbon monoxide levels. For example,                    Furthermore, little is known about the                exposure to smoke from VLNC cigarettes
                                                  in the Benowitz et al. 2015 study (Ref.                 dose-related effects of reduced nicotine.             could be due to repeated pairing of
                                                  86), where researchers progressively                    Data derived from trials assessing a                  nicotine with sensory and conditioned
                                                  lowered nicotine content over 7 months,                 range of reduced-nicotine cigarettes are              cues or to other psychoactive chemicals.
                                                  the authors found that, after the 7                     critical for providing an empirical basis             Given that these subjective and
                                                  months of VLNC cigarette use, nicotine                  for regulatory decisions pertaining to                physiological effects have been directly
                                                  intake remained below baseline (i.e.,                   nicotine product standards’’ (Ref. 85).               linked to nicotine, it is likely that they
                                                  plasma cotinine at 149 ng/ml vs. 250 ng/                As a result, FDA requests submission of               are learned responses through repeated
                                                  ml). The Mercincavage et al. study (Ref.                additional data that may be used to                   pairing with nicotine and not due to
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                                                  88), a randomized study of smokers                      explore further the hypotheses                        other chemicals in the smoke.
                                                  progressively decreasing nicotine                       presented in this ANPRM (e.g.,                           Please explain your responses and
                                                  content over three ten day periods, also                extended duration studies) and supports               provide any evidence or other
                                                  yielded mixed results regarding harm                    the development of additional studies to              information supporting your responses
                                                  exposure. The researchers found that                    further analyze these conclusions.                    to the following questions:
                                                  certain biomarkers of exposure to toxic                    c. Subjective effects and relief of                   1. The Tobacco Control Act prohibits
                                                  tobacco-related constituents (i.e.,                     withdrawal symptoms associated with                   FDA from reducing nicotine yields in
                                                  cotinine and NNAL) decreased with                       VLNC cigarettes. Individuals who                      any combusted tobacco product to zero


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                                                                            Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                                                    11829

                                                  (section 907(d)(3) of the FD&C Act). If                 would perceive these VLNC cigarettes as               that VLNC cigarettes would not (e.g.,
                                                  FDA were to propose a maximum                           ‘‘safe’’—and how could youth and adult                Refs. 64, 76, and 105).10
                                                  nicotine level for cigarettes, what                     risk perceptions of these cigarettes                     FDA is aware of several studies that
                                                  should be the maximum level to ensure                   impact initiation, use, and cessation                 have demonstrated the impact of an
                                                  that the product is minimally addictive                 habits of combusted tobacco products?                 immediate (e.g., Refs. 53, 106–108) or a
                                                  or nonaddictive, using the best available                                                                     stepped-down approach (Ref. 64) to
                                                  science to determine a level that is                    C. Implementation (Single Target vs.                  nicotine reduction on smoking cessation
                                                  appropriate for the protection of the                   Stepped-Down Approach)                                outcomes. Researchers have found that
                                                  public health? Rather than establishing                                                                       the single target approach may be
                                                                                                             If FDA were to issue a product                     associated with better cessation
                                                  a nicotine target to make products
                                                  ‘‘minimally addictive’’ or                              standard establishing a maximum                       outcomes. Data from the International
                                                  ‘‘nonaddictive,’’ should FDA consider a                 nicotine level for cigarettes, such a                 Tobacco Control Policy Evaluation 4-
                                                  different threshold (e.g., less addictive               standard would need to either propose                 Country Survey, a telephone survey of
                                                  than current products on the market)?                   a single target (where the nicotine is                more than 8,000 adult smokers in the
                                                  How should the maximum level be                         reduced all at once) or a stepped-down                United States, the United Kingdom,
                                                  measured (e.g., nicotine yield, nicotine                approach (where the nicotine is                       Canada, and Australia, illustrates the
                                                  in cigarette filler, something else)? What              gradually reduced over time through a                 cessation benefits from abrupt
                                                  would be the potential health impacts of                sequence of incremental levels and                    abstinence from cigarettes (‘‘cold
                                                  requiring a maximum nicotine level                      implementation dates) to reach the                    turkey’’) when compared to a gradual
                                                  such as 0.4 mg nicotine/g of tobacco                    desired maximum nicotine level. Some                  reduction of smoking prior to complete
                                                  filler? FDA is interested in public health              have suggested that any maximum                       abstinence (‘‘cut down’’) (Ref. 109).
                                                  impacts of requiring different maximum                  nicotine level should be established as               While this differs from the approaches
                                                  nicotine levels, such as 0.3, 0.4, and 0.5              a single target (rather than a stepped-               considered in this ANPRM, it provides
                                                  mg nicotine/gram of tobacco filler, as                  down approach) to limit exposure to                   helpful insight into the effects of a
                                                  well as other maximum nicotine levels                   harmful tobacco while providing similar               gradual vs. single change in nicotine
                                                  and solicits comments about the                         cessation rates to those that could occur             intake. Researchers concluded that
                                                  potential health impacts of different                   with a stepped-down approach. Some                    immediate nicotine cessation was
                                                  maximum levels.                                         level of compensatory smoking behavior                ‘‘clearly associated with more successful
                                                     2. FDA lists four types of studies to                (i.e., smokers seeking to obtain the                  outcomes’’ (Ref. 109). Scientists also
                                                  estimate the threshold of nicotine                      amount of nicotine they need to sustain               found higher abstinence rates for those
                                                  addiction (i.e., indirect estimates;                    their addiction by smoking more                       using the single target approach in
                                                  findings of increased cessation for                     cigarettes per day, taking more and                   studies comparing two levels of
                                                  VLNC cigarettes; subjective effects,                    deeper puffs, and/or puffing with a                   commercial low-yield nicotine
                                                  craving, and withdrawal associated with                 faster draw rate) theoretically could                 cigarettes and nicotine lozenges (Ref. 4).
                                                  VLNC cigarettes; and lower nAChR                                                                                 Nevertheless, some studies have
                                                                                                          occur under either a single target or
                                                  occupancy and cerebral response from                                                                          found that both reduction strategies
                                                                                                          stepped-down approach and could                       increase a smoker’s probability of
                                                  the use of VLNC cigarettes). Should
                                                                                                          impact the public health benefits of a                cessation. For example, in a study of
                                                  FDA rely on some or all of these types
                                                  of studies? Why or why not? Is there a                  possible nicotine tobacco product                     smokers with no strong preference for a
                                                  different method that FDA should                        standard. According to studies                        quitting method who were randomly
                                                  investigate or use to determine the                     involving VLNC cigarettes and other                   assigned to study arms requiring either
                                                  threshold for nicotine addiction?                       reduced nicotine cigarettes, researchers              that they quit immediately or gradually
                                                     3. In addition to nicotine, minor                    expect there could be very little or no               reduce their cigarette consumption over
                                                  tobacco alkaloids (including                            compensatory smoking with a single                    2 weeks, both the immediate and
                                                  nornicotine, cotinine, anabasine,                       target approach and that it would be                  gradual cessation methods produced
                                                  anatabine, and myosamine) and tobacco                   self-limiting (i.e., smokers would be                 similar results (Ref. 110). Likewise, in a
                                                  smoke aldehydes (such as acetaldehyde)                  unable to obtain their nicotine dose                  meta-analysis of 10 studies to determine
                                                  are pharmacologically active and may                    from cigarettes no matter how they                    the impact of stepped reduction of
                                                  contribute to addiction (see, e.g., Refs.               smoke them and eventually would stop                  nicotine versus a single nicotine target
                                                  98 and 99). Researchers have                            trying to do so), which could maximize                in participants interested in quitting
                                                  investigated the abuse potential of                     the benefits of such a tobacco product                smoking, scientists determined that a
                                                  nornicotine, cotinine, anabasine, and                   standard (Refs. 3–5). If individuals were             stepped reduction in nicotine ‘‘provides
                                                  acetaldehyde in animals (Ref. 100).                     to engage in compensatory smoking                     similar quit rates to abrupt quitting with
                                                  However, many of these compounds are                    with a single target approach,                        no evidence that one method is
                                                  only present in tobacco smoke at low                    researchers find that any compensatory                significantly superior to the other in
                                                  levels and are likely less potent than                  smoking at the maximum nicotine levels                adults trying to quit smoking’’ (Ref. 111
                                                  nicotine in mediating pharmacological                   that FDA is considering here could only               at p. 13) and concluded that there were
                                                  response and, therefore, reinforcement                  be minimal and transient (e.g., Refs.                 no additional cessation benefits for the
                                                  (Refs. 101 and 102). In addition to                     103, 104, 92, and 93).                                stepped-down approach (Ref. 111 at p.
                                                  setting a maximum nicotine level,                                                                             2).
                                                                                                             In contrast, during a stepped-down                    FDA understands the argument that a
                                                  should the product standard also set
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                                                  maximum levels of other constituents                    approach, tobacco users may attempt to                stepped-down approach to limiting the
                                                  (e.g., nornicotine, acetaldehyde,                       compensate for the loss of nicotine                   nicotine levels in tobacco products
                                                  anabasine) that may have the potential                  during the early stages of a stepped-
                                                  to produce dependence and be                            down approach by smoking additional                     10 However, the IOM has cited one study showing

                                                  addictive? If so, at what levels?                       tobacco products or by smoking more                   that when nicotine content is stepped down,
                                                     4. If FDA were to finalize a nicotine                intensely, since the intermediate-stage               smokers do not engage in compensatory smoking
                                                                                                                                                                when nicotine is extracted from tobacco and,
                                                  tobacco product standard, what is the                   products could allow for extraction of                therefore, do not increase their toxic exposures (Ref.
                                                  potential that adults and adolescents                   nicotine through such efforts in a way                13 at p. 349).



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                                                  11830                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

                                                  could undermine the public health goals                 demonstrate a high level of specificity,              coupled with flame ionization detection
                                                  of such a standard by allowing for                      accuracy, and precision in measuring a                (Ref. 115).
                                                  prolonged exposure to tobacco-related                   range of nicotine levels across a wide                   CORESTA Method No. 62 is a
                                                  toxicants during the step-down period.                  variety of tobacco blends and products.               standard method used to analyze
                                                  Although both approaches likely would                      A variety of methods have been in                  nicotine in tobacco filler and smokeless
                                                  result in comparable quit rates                         development that allows nicotine in                   tobacco products (Ref. 116). This
                                                  eventually, some studies have indicated                 tobacco or tobacco product filler to be               method describes extraction of nicotine
                                                  a greater likelihood of cessation success               quantified for various products. For                  in solid tobacco in basified extraction
                                                  with the use of a single target. In                     example, two Cooperation Centre for                   solution (using sodium hydroxide to
                                                  addition, preliminary studies show that                 Scientific Research Relative to Tobacco               deprotonate the nicotine in solution) of
                                                  a single target approach could limit                    (CORESTA) methods have undergone                      either hexane containing n-heptadecane
                                                  further exposure to harmful tobacco                     round-robin method validation studies                 or quinaldine internal standards or
                                                  (when compared with the stepped-down                    in accordance with ISO 5725–1 through                 basified extraction solution (using
                                                  approach to limiting nicotine levels).                  ISO 5725–2: (1) Continuous flow                       sodium hydroxide) of methyl-t-butyl
                                                  FDA continues to weigh these factors,                   analysis (CFA) and (2) gas                            ether solution containing quinoline
                                                  and will consider the information                       chromatography-flame ionization                       internal standard (id.).
                                                  submitted in response to this ANPRM,                    detector (GC–FID). The CFA method                        FDA is also aware of other methods
                                                  as it decides the appropriate approach                  measured a nicotine range of 0.69–3.30                that have been used to analyze nicotine
                                                  for a potential nicotine tobacco product                percent (or 6.9–33 mg/g) in burley and                levels. Such methods include GC
                                                  standard.                                               flue-cured tobaccos and exhibited a                   combined with various detectors, GC–
                                                     Please explain your responses and                    repeatability range of 0.03–0.17 and a                MS with solid-phase microextraction as
                                                  provide any evidence or other                           reproducibility range of 0.12–0.67,                   a preconcentration step for low
                                                  information supporting your responses                   dependent on the mean (Ref. 112). A                   detection, other formats of GC–FID,
                                                  to the following questions:                             GC–FID method for determining                         capillary electrophoresis combined with
                                                     1. What data are available to                        nicotine in fermented extractions from                either ultraviolet (UV) or
                                                  demonstrate that a single target                        tobacco leaves was validated in                       electrochemical detection, and
                                                  approach to reach a maximum nicotine                    accordance with FDA and International                 alternative chromatography techniques
                                                  level would or would not result in any                  Council for Harmonization of Technical                including supercritical fluid
                                                  unintended consequences?                                Requirements for Registration of                      chromatography-ion mobility detection
                                                     2. In the alternative, what data are                                                                       (Ref. 117), reversed phase ion-pair
                                                                                                          Pharmaceuticals for Human Use
                                                  available to demonstrate that a stepped-                                                                      liquid chromatographic extraction (Ref.
                                                                                                          specifications, including specificity,
                                                  down approach involving a sequence of                                                                         118), and high-pressure liquid
                                                                                                          linearity, precision, accuracy, and
                                                  incremental levels and implementation                                                                         chromatography with UV detection (Ref.
                                                                                                          robustness (Ref. 113). Gas
                                                  dates to reach a proposed nicotine level                                                                      119).
                                                                                                          chromatography-mass spectrometry
                                                  would or would not result in any
                                                                                                          (GC–MS) was used as the confirmation                     Please explain your responses and
                                                  unintended consequences?
                                                                                                          technique in this study, in which a                   provide any evidence or other
                                                     3. If FDA were to select a stepped-
                                                                                                          recovery of 117.8 percent was achieved;               information supporting your responses
                                                  down approach for a nicotine tobacco
                                                                                                          recovery was within FDA guidelines                    to the following questions:
                                                  product standard, what scientific
                                                                                                          (<120 percent) (Ref. 113). Nicotine                      1. If FDA were to issue a product
                                                  evidence exists to support particular
                                                                                                          content of 0.43 percent (4.3 mg/g) in the             standard, should the Agency require a
                                                  interim nicotine levels and the
                                                                                                          extract was reliably measured and                     standard method of product testing to
                                                  appropriate number of steps that would
                                                                                                          stability testing on this same extract was            analyze the nicotine levels in products
                                                  be needed to reach the target level?
                                                     4. Would a single target and a                       conducted for 360 days (id.). In                      subject to the standard? If so, what
                                                  stepped-down approach for                               addition, the WHO’s Tobacco                           method or methods should FDA use?
                                                  implementation result in comparable                     Laboratory Network (TobLabNet) has                       2. Should the Agency require
                                                  quit rates or reduced initiation rates?                 developed a standard operating                        manufacturers to sample their products
                                                     5. What would be the likely                          procedure for determination of nicotine               in a specific manner to ensure that
                                                  implementation differences, including                   in cigarette tobacco filler using gas                 products do not contain excess levels of
                                                  implementation timelines and transition                 chromatography (Ref. 114). The WHO’s                  nicotine? Should manufacturers be
                                                  costs, between a single target approach                 TobLabNet determined that this method                 required to test each manufactured
                                                  or a stepped-down approach involving a                  is suitable for the quantitative                      batch to ensure compliance with a
                                                  sequence of incremental levels and                      determination of nicotine in cigarette                product standard limiting nicotine
                                                  implementation dates?                                   tobacco filler by gas chromatography                  levels? What criteria should be used to
                                                                                                          (GC) (id.).                                           determine if a batch passes or fails
                                                  D. Analytical Testing Method                               We also note that ISO 10315 and                    testing?
                                                    As part of its consideration regarding                CORESTA Method No. 62 have been
                                                                                                                                                                E. Technical Achievability
                                                  a potential nicotine tobacco product                    used in substantial equivalence reports
                                                  standard, FDA is also considering                       submitted to the Agency. ISO 10315 is                   FDA continues to analyze the
                                                  whether such a product standard should                  a method for analyzing nicotine in                    technical achievability of a maximum
                                                  specify a method for manufacturers to                   smoke. With this method, conditioned                  nicotine level for cigarettes as part of its
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                                                  use to detect the level of nicotine in                  cigarettes are smoked under ISO 4387                  overall assessment of how best to
                                                  their tobacco products. FDA believes                    conditions and smoke is captured on a                 implement this authority and is seeking
                                                  that the results of any test method to                  Cambridge filter pad and extracted in                 comments from interested parties
                                                  measure the nicotine in combusted                       propan-2-ol containing internal                       regarding this issue, including with
                                                  tobacco products should be comparable                   standard such as n-heptadecane or                     respect to the technical achievability of
                                                  across different accredited testing                     quinaldine (carvone or n-octadecane are               such a standard for small cigarette and/
                                                  facilities and products. It is critical that            other alternatives to internal standards)             or small combusted tobacco product
                                                  the results from the test method                        and analyzed immediately using GC                     manufacturers.


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                                                                            Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                                          11831

                                                     The industry and consumer product                    cured, burley, oriental), geographical                cured tobacco leaves harvested from the
                                                  companies have developed versions of                    origin, year, and grade of the tobacco                lowest stalk position may contain from
                                                  denicotinized cigarettes and a range of                 (Ref. 128). Blend differences can                     0.08 to 0.65 percent nicotine, whereas
                                                  brands with differing nicotine levels. By               produce significant variations in                     leaves from the highest positions may
                                                  blending tobaccos based on nicotine                     nicotine concentration in the tobacco                 contain between 0.13 and 4.18 percent
                                                  levels, tobacco companies have                          rod, leading to differences in smoke                  nicotine (Ref. 126, citing Ref. 134).
                                                  manufactured their products to                          composition and yield (Ref. 120 at p.                 Therefore, substituting leaves found
                                                  specifications that ensure the final                    469). Grading, which is used to evaluate              lower on the plants could reduce the
                                                  product will have precise levels of                     and identify differences within tobacco               nicotine content of tobacco products
                                                  nicotine and have ensured that nicotine                 types and is a function of both plant                 (Ref. 131).
                                                  levels vary only minimally within                       position (i.e., higher or lower on the                   A number of internal tobacco industry
                                                  cigarette packs and from pack to pack                   stalk) and of quality (i.e., ripeness), and           documents describe the use of leaf
                                                  (60 FR 41453 at 41505, 41509, August                    segregation of grades by nicotine                     blending and tobacco selection to
                                                  11, 1995). In fact, the tobacco industry                content, already has become common                    control the nicotine content of cigarettes
                                                  has had programs in place since the                     practice (Ref. 128 at p. 2–3).                        (Ref. 128 at p. 3). For example, one
                                                  1960s to obtain ‘‘any level of nicotine                    Many tobacco lines are available,                  company project determined that low
                                                  desired’’ (Ref. 120, citing Ref. 121). The              including approximately 1,000 different               nicotine cigarettes can be made by
                                                  industry also has recognized that the                   tobacco varieties (Ref. 126). The tobacco             selecting grades of tobacco with low
                                                  techniques it has used to increase                      industry has used breeding and                        nicotine content (Ref. 128 at p. 3, citing
                                                  nicotine levels can be used to reduce                   cultivation practices to develop high                 Ref. 135). Another observed that the
                                                  nicotine levels as well (60 FR 41453 at                 nicotine tobacco plants to give                       demand for low nicotine tobacco has
                                                  41722).                                                 manufacturers greater flexibility in                  increased worldwide and necessitated a
                                                     As previously described, VLNC                        blending and in controlling the amount                shift in purchasing standards (Ref. 128
                                                  cigarettes have been produced since the                 of nicotine to be delivered (60 FR 41453              at p. 3, citing Ref. 136).
                                                  1970s. During this time, NCI contracted                 at 41694). These practices could be used
                                                  for production of a line of cigarettes                  to develop low nicotine plants as well.               2. Chemical Extraction
                                                  with widely varying nicotine                            In fact, tobacco industry documents                      Nicotine also can be removed from
                                                  concentrations (Ref. 122, 81 SG). In the                show that in the 1960s, tobacco                       tobacco via chemical extraction
                                                  late 1980s, a major cigarette                           companies recognized the increasing                   technology. By the 1970s, tobacco
                                                  manufacturer had plans to develop                       demand for low nicotine tobacco and
                                                                                                                                                                manufacturers regularly practiced
                                                  VLNC cigarettes with a reduction in                     began instituting projects that found
                                                                                                                                                                nicotine extraction as a method to
                                                  mainstream nicotine yields of greater                   that low nicotine cigarettes can be made
                                                                                                                                                                control nicotine delivery (Ref. 128,
                                                  than 95 percent (Ref. 123). More                        by selecting grades of tobacco with low
                                                                                                                                                                citing Ref. 137; Refs. 138 and 139).
                                                  recently, 22nd Century, acting as vendor                nicotine content (Ref. 128; citing Ref.
                                                                                                                                                                Extraction methods include water
                                                  for RTI’s contract with NIDA, has                       129; Ref. 130).
                                                                                                             Because the nicotine content of                    extraction (coupled with steam or oven
                                                  developed cigarettes, not currently
                                                                                                          tobacco plants varies, manufacturers                  drying), solvent extraction, and
                                                  commercially available, that are similar
                                                                                                          could replace more commonly used                      extractions of nicotine without usable
                                                  in many sensory characteristics to
                                                                                                          nicotine-rich varieties like Nicotiana                leaf (Ref. 128). Supercritical fluid
                                                  conventional cigarettes but with
                                                  extremely low nicotine levels (Refs. 54,                rustica with lower nicotine varieties                 extraction also yielded success in the
                                                  124, and 125).                                          (Ref. 131). Oriental Turkish-type                     1990s, allowing for optimum extraction
                                                     Significant reductions of nicotine in                cigarettes also deliver substantially less            times and the elimination of more time-
                                                  combusted tobacco products can be                       nicotine than cigarettes that contain air-            consuming steps (Refs. 140 and 141).
                                                  achieved principally through tobacco                    cured Burley tobacco (Ref. 120; citing                FDA notes that there are existing patents
                                                  blending and cross-breeding plants,                     Ref. 132). In addition, manufacturers                 for chemical extraction of nicotine in
                                                  genetic engineering, and chemical                       could select specific tobacco seedlings               tobacco, which reveal that more than 96
                                                  extraction. Agricultural practices (e.g.,               that are low in nicotine and plant only               percent of nicotine can be successfully
                                                  controlled growing conditions,                          those low nicotine seedlings (Ref. 133).              extracted while achieving a product that
                                                  fertilization, harvest) as well as more                 Even without this selective breeding,                 ‘‘was subjectively rated as average in
                                                  recent, novel techniques also can help                  manufacturers could use careful tobacco               nicotine characteristics’’ (Refs. 142 and
                                                  to reduce nicotine levels. One or a                     leaf purchasing plans to control the                  66).
                                                  combination of these processes could be                 nicotine content in their products (60                   In addition, a major tobacco
                                                  used to achieve the nicotine levels that                FR 41453 at 41694). By maintaining                    manufacturer has used a high-pressure
                                                  FDA is considering for a nicotine                       awareness of the differences and                      carbon dioxide process similar to the
                                                  tobacco product standard.                               monitoring the levels in purchased                    process used to decaffeinate coffee. In
                                                                                                          tobacco, companies could produce                      this process, tobacco leaf is treated with
                                                  1. Tobacco Blending/Cross Breeding                      cigarettes with nicotine deliveries                   ammonium salt, then treated with
                                                     Most of the cigarettes sold in the                   consistent to one-tenth of one percent                carbon dioxide/water vapor, which has
                                                  United States are blended cigarettes                    (despite variations of up to 25 percent               achieved a 95 to 98 percent reduction in
                                                  (Ref. 126). A tobacco industry executive                in the nicotine content of the raw                    nicotine (Ref. 133, citing Ref. 143)
                                                  previously testified that the main                      material grown in the same area, from                 Although some manufacturers believe
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                                                  component of a cigarette that                           year to year) (60 FR 41453 at 41694).                 that previous water extraction practices
                                                  contributes to nicotine delivery is the                    The position of leaves on the plant                may have rendered the tobacco
                                                  tobacco blend and that year-to-year crop                stalk also affects nicotine levels; tobacco           ‘‘unsuitable for use,’’ other water
                                                  variation does not determine the                        leaves located near the top of the plant              extraction projects yielded suitable
                                                  nicotine content in a cigarette (Ref. 127).             can contain higher concentrations of                  smoking material with sizeable nicotine
                                                  The term ‘‘leaf blending’’ describes the                nicotine and lower stalk leaves                       reductions (80 to 85 percent reduction
                                                  selection of tobaccos to be used in a                   generally contain lower nicotine levels               in leaf nicotine) (Ref. 128, citing Ref.
                                                  product by tobacco type (e.g., flue-                    (Ref. 114; Ref. 120). For example, flue-              144; Refs. 145 and 146).


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                                                  11832                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

                                                  3. Genetic Engineering                                  plant density (id., citing Ref. 162). In              non-cigarette combusted tobacco
                                                     Tobacco industry scientists have long                other cases, chemical agents were                     products (e.g., cigarette tobacco, RYO
                                                  recognized the potential for genetic                    observed to reduce nicotine content                   tobacco, little cigars, large cigars,
                                                  engineering to control nicotine content                 (Ref. 128 citing Refs. 163–165).                      cigarillos, pipe tobacco, and waterpipe
                                                                                                             After growers harvest tobacco, it is               tobacco) that FDA is considering
                                                  (Ref. 147). The first practical application
                                                                                                          cured and aged before use in tobacco                  covering under a nicotine tobacco
                                                  of biotechnology by a major tobacco
                                                                                                          products. The aging process naturally                 product standard?
                                                  manufacturer was the development of
                                                                                                          changes the chemistry of the tobacco,                    4. If FDA were to propose a tobacco
                                                  low nicotine tobacco in the 1980s,
                                                                                                          including some reduction in nicotine                  product standard setting a maximum
                                                  which led to the receipt of a patent for
                                                                                                          content (Ref. 128). At least one                      nicotine level, how, if at all, would such
                                                  biotechnology for altering nicotine in
                                                                                                          manufacturer has explored efforts to                  a product standard impact tobacco
                                                  tobacco plants (Refs. 133 and 148).                                                                           farmers’ growing and/or curing
                                                                                                          speed up the process of aging tobacco,
                                                  Other tobacco researchers and major                     in part to alter or limit the changes in              practices? If FDA were to finalize a
                                                  manufacturers also recognized the value                 chemistry that naturally occur (id.,                  nicotine tobacco product standard, what
                                                  of biotechnology for developing low                     citing Ref. 166). Other approaches to                 would be the costs and benefits for
                                                  nicotine tobacco for cigarettes,                        curing and fermenting tobacco were                    tobacco farmers and tobacco processors,
                                                  including for use as part of a smoking                  explored as a method for altering                     particularly regarding how any such
                                                  cessation program (Ref. 149).                           nicotine content (Ref. 128). For                      rulemaking might affect them in light of
                                                     Several American and international                   example, in one manufacturer’s report,                new technologies and business
                                                  tobacco companies genetically                           researchers observed that the properties              opportunities that are foreseeable, but
                                                  engineered low nicotine varietals in the                of tobacco, including nicotine content,               not now in place? In addition, if FDA
                                                  1960s and 1970s, including a strain with                could be altered without the need for                 were to finalize a nicotine tobacco
                                                  nicotine levels as low as 0.15 percent                  nontobacco additives by modifying                     product standard, what would be the
                                                  (Ref. 128; citing Refs. 150–155). During                curing practices (id., citing Ref. 167). In           costs for farmers in light of such a
                                                  that time period, the Kentucky Tobacco                  addition, manufacturers have explored                 standard?
                                                  Research Board worked on genetic                        approaches to identify microbial                         5. Section 907(d)(2) of the FD&C Act
                                                  strains of low nicotine tobacco (with a                 bacteria that actively degraded nicotine              provides that a tobacco product
                                                  nicotine content of 0.2 percent) to be                  while leaving other components of the                 standard must set forth the effective
                                                  used for experimental studies on the                    leaf intact (Ref. 128, citing Refs. 168 and           date of the standard, which may not be
                                                  role of nicotine in smoking behavior                    169). Consumer product testing showed                 less than 1 year after publication of a
                                                  (Ref. 128, citing Refs. 156–159). In                    that the ‘‘product acceptability’’ of that            final rule unless FDA determines that an
                                                  addition, Canadian researchers                          tobacco was equal to that of untreated                earlier effective date is necessary for the
                                                  examined low nicotine strains of                        tobacco (Ref. 128, citing Ref. 170).                  protection of the public health (and that
                                                  tobacco, particularly in association with                  Researchers have developed novel                   such effective date be established ‘‘to
                                                  efforts to develop a strain of flue-cured               approaches to reducing the nicotine in                minimize, consistent with the public
                                                  or air-cured tobacco that would be                      tobacco products in recent years. For                 health, economic loss to, and disruption
                                                  suitable as the base material for                       example, a salivary excretion produced                or dislocation of, domestic and
                                                  reconstituted tobacco (Ref. 128, citing                 by a caterpillar (containing the enzyme               international trade’’). This section also
                                                  Refs. 151 and 160). In 2003, Vector                     glucose oxidase) is applied to tobacco                provides that the effective date be a
                                                  Tobacco began marketing the Quest                       plant leaves and can reduce the nicotine              minimum of 2 years after publication of
                                                  cigarette, which was produced from                      in tobacco leaf by up to 75 percent and               a final rule if the tobacco standard can
                                                  genetically modified tobacco and                        provide an ‘‘effective and economical                 be met only by requiring ‘‘substantial
                                                  contained only trace amounts of                         system for producing tobacco products                 changes to the methods of farming the
                                                  nicotine (Ref. 133) (this product is no                 which contain about 0.01 mg nicotine                  domestically grown tobacco used by the
                                                  longer on the market). Genetic                          per cigarette or less . . . while                     manufacturer.’’ Therefore, if FDA were
                                                  engineering has resulted in reductions                  maintaining the other desirable                       to propose a product standard setting a
                                                  of nicotine levels in the range of 80 to                ingredients for good taste and flavor’’               maximum nicotine level, when should
                                                  98 percent (id.). In 2014, the U.S. Patent              (Ref. 67).                                            this standard become effective? What
                                                  and Trademark Office granted two                           Please explain your responses and                  implementation timeframe would allow
                                                  patents for two genes that may be                       provide any evidence or other                         adequate time for industry to comply?
                                                  suppressed to achieve a substantial                     information supporting your responses                 Should the same timeframe be required
                                                  decrease in nicotine in tobacco plants                  to the following questions:                           for all tobacco product manufacturers,
                                                  (Ref. 161).                                                1. What methods are tobacco product                regardless of their number of employees
                                                                                                          manufacturers currently using to                      and/or annual revenues? 11 Given the
                                                  4. Other Practices
                                                                                                          maintain consistency of the nicotine in               currently available processes to reduce
                                                    Industry studies have shown that                      their products, given the variability of              the nicotine in tobacco products (e.g.,
                                                  changes to growing and harvesting                       nicotine levels over growing seasons                  chemical processes, genetic
                                                  practices affect the development of                     and crop type? How could these                        engineering), what do manufacturers
                                                  tobacco chemistry, including nicotine                   methods be adapted to ensure that
                                                  content (Ref. 128). Some manufacturers                  certain combusted tobacco products                      11 The Tobacco Control Act defines ‘‘small

                                                  have revised their agricultural practices               meet a potential nicotine tobacco                     tobacco product manufacturer’’ to be a tobacco
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                                                  specifically to meet new product                                                                              product manufacturer that employs fewer than 350
                                                                                                          product standard?                                     employees (21 U.S.C. 387(16)). In the preamble to
                                                  development goals, such as the                             2. What is the feasibility of using the            the deeming rule, FDA defined ‘‘small-scale tobacco
                                                  production of low nicotine tobacco (id.).               techniques discussed in this section, or              product manufacturers’’ to be a manufacturer of any
                                                  For example, one manufacturer                           other nicotine reduction techniques, to               regulated tobacco product with 150 employees or
                                                  evaluated various experimental                          reduce the nicotine in cigarettes?                    fewer and annual total revenues of $5 million or
                                                                                                                                                                less (81 FR 28973 at 28980). If you are providing
                                                  agricultural practices that could affect                   3. What is the feasibility of using the            comments or information relevant to these
                                                  the tobacco’s chemistry, including bulk-                techniques discussed in this section, or              definitions or a different definition, please note that
                                                  curing, once-over harvesting, and high                  other nicotine reduction techniques, for              definition in your comments.



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                                                                            Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                                          11833

                                                  and others with relevant expertise                      define ‘‘premium cigar’’ to minimize                  ‘‘modest’’ (Ref. 172). The IOM suggests
                                                  consider an appropriate timeframe to                    such consequences.                                    that demand would be limited, because
                                                  implement a product standard to reduce                     While FDA believes that some                       some smokers may quit and other will
                                                  nicotine? Would a 2-year, 4-year, or 6-                 consumers would be satisfied with                     use modified products or seek legal
                                                  year timeframe be appropriate?                          VLNC cigarettes, the Agency expects                   alternatives (id.). Although some
                                                     6. Should the standard include                       that there would be a subset of                       smokers may seek to purchase illicit
                                                  provisions that would allow                             consumers uninterested in switching to                products if available and accessible, the
                                                  manufacturers, distributors, or retailers               VLNC cigarettes or quitting tobacco                   IOM finds that this ‘‘would require
                                                  to sell off existing nonconforming                      products altogether. This subset of                   established distribution networks and
                                                  inventory of manufactured combusted                     consumers may seek to obtain illicit                  new sources of product (which would
                                                  tobacco products? If so, what would be                  tobacco products after a standard                     either have to be smuggled from other
                                                  a reasonable sell-off period?                           becomes effective (see FDA’s Draft                    countries or produced illegally) to create
                                                     7. What are the potential outcomes of                Concept Paper). As a result, FDA is                   a supply of cigarettes with prohibited
                                                  implementing methods to reduce                          considering whether an increase in                    features’’ (id.). Given that individuals
                                                  nicotine content in cigarettes in terms of              illicit trade might occur as a result of a            have utilized distribution networks to
                                                  impact on characteristics of cigarettes                 nicotine tobacco product standard and                 smuggle cigarettes and avoid higher
                                                  (flavor, taste, aroma, etc.) and user                   how that could impact the marketplace                 taxes, FDA is considering whether there
                                                  experience?                                             and public health. The analysis of                    might be additional incentive to create
                                                                                                          possible illicit trade includes                       or obtain the prohibited cigarettes that
                                                  F. Possible Countervailing Effects                      considerations regarding the sources of               are not available elsewhere in the
                                                     Section IV. B discusses some of the                  tobacco, how illicit tobacco products                 United States. In addition, the report
                                                  potential benefits that FDA expects                     might be manufactured, possible                       explains that comprehensive
                                                  could occur as a result of one possible                 workarounds (such as adding nicotine                  interventions by several countries show
                                                  nicotine tobacco product standard.                      in liquid or other form to a product with             that it is possible to reduce the size of
                                                  There may be possible countervailing                    minimally addictive or nonaddictive                   the illicit tobacco market through
                                                                                                          nicotine levels), the ability to distribute           enforcement mechanisms and
                                                  effects that could diminish the
                                                                                                          illicit products, the development of                  collaborations across jurisdictions (id.).
                                                  population health benefits expected as a
                                                                                                          consumer awareness, and how illicit                      If a nicotine tobacco product standard
                                                  result of a nicotine tobacco product
                                                                                                          trade sales might take place (id.). The               were to prompt the development of an
                                                  standard. As part of any subsequent
                                                                                                          capacity to produce illicit tobacco                   illicit market, FDA would have the
                                                  rulemaking FDA would need to assess
                                                                                                          products would depend upon a variety                  authority to take enforcement actions
                                                  these effects in comparison to the
                                                                                                          of factors, including the ease of                     regarding the sale and distribution of
                                                  expected benefits, including among
                                                                                                          acquiring the raw materials (particularly             illicit tobacco products. The FD&C Act
                                                  population subgroups.
                                                                                                          tobacco), the sophistication required to              provides FDA with several tools that it
                                                     One possible countervailing effect is                construct the desired product, and the                may use against noncompliant parties.
                                                  continued combusted tobacco product                     purpose (whether it is for an                         For example, FDA could issue a
                                                  use. Current smokers of tobacco                         individual’s personal use, or for wider               Warning Letter, an advisory action in
                                                  products covered by a nicotine tobacco                  distribution and sale). Large,                        which FDA notifies a regulated entity
                                                  product standard could turn to other                    commercial, tobacco product                           that FDA has found evidence that the
                                                  tobacco products to maintain their                      manufacturers have the resources,                     party violated the law. A Warning Letter
                                                  nicotine dependence, both in                            sophistication, and ability to                        is used to achieve prompt voluntary
                                                  combination with cigarettes (i.e., dual                 manufacture illicit tobacco products                  compliance. In a Warning Letter, FDA
                                                  use) or in place of cigarettes (i.e.,                   (id.). Illicit tobacco products also may              informs the regulated entity that failure
                                                  switching). For those users seeking to                  be smuggled and sold through the                      to comply with the requirements of the
                                                  switch to a potentially less hazardous                  internet. It is unclear, however, to what             FD&C Act and its implementing
                                                  tobacco product (e.g., electronic                       extent such companies would be willing                regulations may result in FDA
                                                  nicotine delivery systems), FDA expects                 to risk their businesses (and resulting               enforcement action. These actions may
                                                  that the increase in consumer demand                    profits) to manufacture illicit tobacco               include initiating administrative actions
                                                  for such other products likely would be                 products (id.). Tribal manufacturers are              or referring cases to the Department of
                                                  met by the tobacco industry, which has                  an additional source of tobacco                       Justice for initiation of judicial action.
                                                  a history of being responsive to market                 products, having relatively high                      FDA may seek to initiate an
                                                  shifts (see FDA’s Draft Concept Paper                   sophistication and machinery in some                  administrative legal action against a
                                                  published elsewhere in this issue of the                instances, but they are also subject to               regulated entity that can result in the
                                                  Federal Register). For example,                         the same disincentives as large                       imposition of a fine or civil money
                                                  traditional cigarette manufacturers                     manufacturers and generally lack                      penalty. Possible judicial actions may
                                                  began to expand into the smokeless                      widespread distribution and sales                     include seizures, injunctions, and
                                                  market when restrictions on where                       capabilities (id.).                                   criminal prosecution.
                                                  smokers were allowed to smoke were in                      The IOM has explored the issue of                     Another possible countervailing effect
                                                  enacted in the 1980s, 1990s, and early                  possible illicit trade if FDA were to                 is the potential for increased harm due
                                                  2000s (id., citing Ref. 171). FDA also                  issue a tobacco product standard                      to continued VLNC smoking with
                                                  wishes to better understand whether                     limiting the levels of nicotine in                    altered smoking behaviors. Some
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                                                  users would switch to premium cigars if                 cigarettes. The IOM found that although               studies of VLNC cigarettes with nicotine
                                                  these products were excluded from the                   there is insufficient evidence to draw                levels similar to what FDA is
                                                  scope of a nicotine tobacco product                     firm conclusions regarding how the U.S.               considering have not found
                                                  standard. FDA has requested data and                    illicit tobacco market would respond to               compensatory smoking behavior and
                                                  information on whether large and/or so-                 regulations requiring a reduction in the              have found reductions in the number of
                                                  called premium cigars would be                          nicotine content of cigarettes, limited               cigarettes smoked per day and,
                                                  migration or dual use candidates, or                    evidence suggests that the demand for                 consequently, decreased exposure to
                                                  whether and how there is a way to                       illicit conventional cigarettes would be              harmful constituents (as discussed in


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                                                  11834                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

                                                  section IV.B of this document). If FDA                  tobacco product standard would be self-               their relevant characteristics, such as
                                                  decides to pursue a proposed nicotine                   limiting (i.e., smokers would be unable               nicotine levels? How can available
                                                  product standard, FDA will continue to                  to obtain their nicotine dose from                    sources of information, such as
                                                  consider this potential countervailing                  cigarettes no matter how they smoke                   manufacturer registrations and/or
                                                  effect.                                                 them and eventually would stop trying                 product listings with FDA, be used in
                                                     Another possible countervailing effect               to do so). Do any peer-reviewed studies               this assessment?
                                                  of setting a maximum nicotine level for                 demonstrate that lowering the nicotine                   2. How should potential consumer
                                                  cigarettes could be that users would                    content of cigarettes to minimally                    surplus or utility loss from the removal
                                                  seek to add nicotine in liquid or other                 addictive levels might encourage                      of nicotine in cigarettes be considered,
                                                  form to their combusted tobacco                         consumers to smoke more VLNC                          given the availability of other sources of
                                                  products. Therefore, FDA is considering                 cigarettes to achieve the higher nicotine             nicotine such as ENDS and the
                                                  whether any action it might take to                     doses currently delivered by NNC                      continued availability of combustible
                                                  reduce nicotine in combusted tobacco                    cigarettes?                                           tobacco products?
                                                  products should be paired with a                           5. If a nicotine tobacco product                      3. What sources of information could
                                                  provision that would prohibit the sale or               standard were in effect, the following                be used to estimate the change in
                                                  distribution of any tobacco product                     outcomes could occur: (1) Smokers                     demand for VLNC cigarettes? What
                                                  designed for the purposes of                            could continue to smoke but use the low               factors should we consider in estimating
                                                  supplementing the nicotine content of a                 nicotine products; (2) smokers could                  the changes in demand for other tobacco
                                                  combusted tobacco product (or any                       completely switch to, or dual use low                 products?
                                                  product where the reasonably                            nicotine products with, other legal                      4. What factors should be considered
                                                  foreseeable use is for the purposes of                  tobacco or nicotine products; (3)                     in estimating changes in
                                                  supplementing this nicotine content).                   smokers could quit using any nicotine                 experimentation and initiation that may
                                                  FDA is also considering what other                      or tobacco product; or (4) smokers could              occur as a result of a potential nicotine
                                                  regulatory options may be available to                  seek to buy illegal cigarettes in an illicit          tobacco product standard?
                                                  address this concern and requests                       market. Are there data that would                        5. In what ways might a change in
                                                  comments on such options.                               provide information on which of these                 nicotine levels in cigarettes spur
                                                     Please explain your responses and                    outcomes is most likely? Is there some                innovation in the market for both
                                                  provide any evidence or other                           other outcome that could occur?                       combusted and noncombusted tobacco
                                                  information supporting your responses                      6. If an illicit market developed, what            products?
                                                  to the following questions:                             percentage of current smokers would                      6. What factors should be considered
                                                     1. In addition to a nicotine tobacco                 switch to illicit conventional cigarettes             in estimating the impacts of
                                                  product standard, should FDA consider                   rather than quitting or switching to                  externalities that might exist for VLNC
                                                  any additional regulatory action to                     other legal products? How would this                  cigarettes, such as secondhand smoke,
                                                  address the possibility of migration to,                change if illicit conventional cigarettes             litter, and pollution? How could the
                                                  or dual use with, other tobacco                         were more expensive and/or harder to                  impact of externalities for VLNC
                                                  products?                                               obtain? How would this change with the                cigarettes be compared to the impacts
                                                     2. If FDA were to issue a product                    implementation of improved monitoring                 from NNC cigarettes?
                                                  standard setting a maximum nicotine                     and enhanced enforcement by FDA and                      7. What factors should we consider in
                                                  content for cigarettes, would smokers                   its partners?                                         estimating the impact of changes in
                                                  seek to add liquid nicotine to their                       7. If a nicotine tobacco product                   demand for other tobacco products?
                                                  VLNC cigarettes? Therefore, should                      standard prompted growth of an illicit                   8. If FDA were to finalize a nicotine
                                                  such a regulation include provisions                    market, how long would it likely last?                tobacco product standard, what might
                                                  prohibiting the sale or distribution of                 Would demand likely decrease over                     be the costs to current smokers?
                                                  any tobacco product designed for the                    time, stay the same, or increase?                        9. Are there any other relevant
                                                  purposes of supplementing the nicotine                     8. If a nicotine tobacco product                   comments or information that would be
                                                  content of a combusted tobacco product                  standard prompted growth of an illicit                helpful for FDA to consider in analyzing
                                                  (or any product where the reasonably                    market, what effect, if any, would this               the economic impacts of a proposed
                                                  foreseeable use is to supplement this                   have on the market for illegal drugs? Are             nicotine tobacco product standard?
                                                  nicotine content)? How could such a                     there data showing a relationship                     V. Potential Public Health Benefits of
                                                  provision be structured to efficiently                  between illicit tobacco use and illegal               Preventing Initiation to Regular Use
                                                  and effectively achieve this purpose?                   drug use?                                             and Increasing Cessation
                                                  Should FDA consider other means to                         9. What mechanisms may be used to
                                                  prevent supplementing the nicotine                      prevent, control, or contain illicit                    If FDA were to issue a proposed
                                                  content of a combusted tobacco product                  markets in conventional cigarettes that               tobacco product standard setting a
                                                  subject to a nicotine tobacco product                   may develop if FDA establishes a                      maximum nicotine level, FDA would
                                                  standard?                                               product standard? What State and                      provide an analysis explaining how the
                                                     3. Would a nicotine tobacco product                  Federal entities may be responsible for               proposed rule would be appropriate for
                                                  standard affect the current illicit trade               these mechanisms, and how much                        the protection of the public health
                                                  market, and, if so, to what extent? How                 would they cost?                                      (section 907(a)(3)(A) of the FD&C Act).
                                                  would users obtain their sources of                                                                           For the purposes of this ANPRM, this
                                                  tobacco in an illicit market? How would                 G. Other Considerations                               section briefly describes the potential
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                                                  manufacturers distribute their illicit                    To aid in its consideration regarding               public health benefits FDA believes
                                                  products and develop consumer                           development of a nicotine tobacco                     could result from the increased
                                                  awareness of such products? How                         product standard, FDA is seeking data,                cessation and decreased initiation to
                                                  would such sales take place?                            research results, and other information               regular use that FDA expects could
                                                     4. FDA hypothesizes that, based on                   regarding the following:                              occur if cigarettes and possibly some
                                                  currently available research, nicotine                    1. What data may be helpful to assess               other combusted tobacco products were
                                                  levels like those levels that FDA would                 the universe of tobacco products that are             minimally addictive or nonaddictive. It
                                                  consider with a possible nicotine                       currently available to consumers and                  also references findings from a


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                                                                            Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                                            11835

                                                  population-based simulation model that                  alleviate those complications as well                 tobacco products is highly addictive,
                                                  quantified the potential public health                  (Ref. 17).                                            and addiction to nicotine is the
                                                  impact of enacting a regulation lowering                   Youth and young adults would                       ‘‘fundamental reason that individuals
                                                  nicotine levels in cigarettes and some                  experience the greatest benefits from a               persist in using tobacco products’’ (Ref.
                                                  other combusted tobacco products to                     nicotine tobacco product standard,                    17 at p. 105). Although nicotine itself is
                                                  minimally addictive levels, utilizing                   because many of them may not progress                 not the direct cause of most tobacco-
                                                  inputs derived from empirical evidence                  beyond experimentation and, therefore,                attributable disease, addiction to the
                                                  and expert opinion. We are seeking                      may not experience dangerous and                      nicotine in tobacco products is the
                                                  public comment regarding the inputs                     deadly tobacco-related health effects.                proximate cause of these conditions
                                                  that should be used for modeling the                    Fetuses and children also would benefit               because it sustains tobacco use (Refs. 54
                                                  impact of a nicotine tobacco product                    if their parents quit smoking, given the              and 179). Addiction caused by nicotine
                                                  standard.                                               negative health consequences to the                   in tobacco is critical in the transition of
                                                                                                          fetus of a smoking mother and the                     smokers from experimentation to
                                                  A. Smoking Cessation Would Lead to                      dangers of secondhand smoke. In                       sustained smoking and in the
                                                  Substantial Public Health Benefits for                  addition, children of parents who                     maintenance of smoking for those who
                                                  People of All Ages                                      smoke, when compared with children of                 want to quit (Ref. 7 at p. 113; Ref. 17).
                                                     Significant declines in the deaths                   nonsmoking parents, have an increased                 As a result, FDA expects that making
                                                  caused by the use of combusted tobacco                  frequency of respiratory infections like              cigarettes minimally addictive or
                                                  products can be achieved by reducing                    pneumonia and bronchitis (Ref. 173).                  nonaddictive would reduce tobacco-
                                                  the prevalence of smoking cigarettes and                Smoking cessation reduces the rates of                related harms by promoting smoking
                                                  other combusted tobacco products.                       these respiratory symptoms and of                     cessation or complete migration to
                                                  Smoking cessation has major and                         respiratory infections (Ref. 176 at p.                alternative, potentially less harmful
                                                  immediate health benefits for men and                   467). Children exposed to tobacco                     noncombusted products and by
                                                  women of all ages, regardless of health                 smoke in the home also are more likely                reducing initiation. In this section, we
                                                  status (Ref. 173 at p. i). Smoking                      to develop acute otitis media (middle                 summarize the approach used to
                                                  cessation decreases the risk of the health              ear infections) and persistent middle ear             describe the possible impact of a
                                                  consequences of smoking, and former                     effusions (thick or sticky fluid behind               potential nicotine tobacco product
                                                  smokers live longer than continuing                     the eardrum) (Ref. 173). If parents were              standard to the population as a whole
                                                  smokers. For example, persons who quit                  more able to quit because these products              and present the findings of this analysis.
                                                  smoking before age 50 have one-half the                 become minimally addictive or
                                                                                                                                                                   As discussed elsewhere in this
                                                  risk of dying in the next 15 years                      nonaddictive, youth would experience
                                                                                                                                                                document, FDA is considering the scope
                                                  compared with continuing smokers (id.                   these health problems much less
                                                                                                                                                                of a potential product standard, and has
                                                  at p. v).                                               frequently.
                                                                                                             Although the health benefits are                   asked for public comment. To assess the
                                                     Smoking cessation reduces the risk of                greater for people who stop smoking at                impact of one potential option that
                                                  cancers throughout the body (Ref. 173).                 earlier ages (Refs. 173 and 176),                     might maximize the potential public
                                                  For example, although the risk of dying                 researchers estimate that smokers can                 health impact, it may be appropriate to
                                                  from lung cancer is 22 times higher for                 gain years of additional life expectancy              consider the Apelberg et al. 2018
                                                  male smokers than male nonsmokers                       no matter when they quit (Ref. 177). In               publication, which presented
                                                  (and 12 times higher for female smokers                 addition, scientists using data from the              simulation modeling of a policy
                                                  than female nonsmokers), the risk of                    Cancer Prevention Study (CPS–II), but                 scenario in which the scope of a
                                                  lung cancer after 10 years of abstinence                accounting for bias caused by smoking                 potential product standard restricted the
                                                  is 30 to 50 percent that of continuing                  cessation after baseline, found that even             nicotine level in cigarettes, cigarette
                                                  smokers (id.; Refs. 174 and 175).                       smokers who quit at age 65 had an                     tobacco, RYO tobacco, cigars (including
                                                     Smoking cessation also reduces the                   expected life expectancy increase of 2                little cigars, large cigars, and cigarillos,
                                                  risk of other life-threatening illnesses                years for men and 3.7 years for women                 but not so-called ‘‘premium’’ cigars),
                                                  that occur in smokers. In addition to                   (Ref. 178).                                           and pipe tobacco (other than waterpipe/
                                                  reducing the risk of cancers and the                       The benefits continue for those who                hookah tobacco). As part of a formal
                                                  mortality rates of smoking-related                      remain smoke free. At year one, an                    expert elicitation process (this process
                                                  diseases, smoking cessation                             individual’s added risk of coronary                   centered around three online
                                                  substantially reduces the risk of other                 heart disease becomes half that of a                  conferencing sessions held during
                                                  dangerous diseases that can lead to                     smoker’s (Ref. 175). Between 2 and 5                  January and February 2015, following a
                                                  death or disability and cause a financial               years after cessation, an individual’s                written protocol designed to elicit
                                                  strain on health care resources. For                    stroke risk is reduced to that of a                   opinions using a structured,
                                                  example, smoking cessation                              nonsmoker (id.). In addition, a former                standardized approach (see Ref. 181 for
                                                  substantially reduces risk of peripheral                smoker’s risk of cancers of the mouth,                more details)), eight subject matter
                                                  artery occlusive disease (which can                     throat, esophagus, and bladder is halved              experts were asked to provide their
                                                  cause complications that lead to loss of                within five years (id.). By 10-years post             individual estimates of the anticipated
                                                  limbs) (Ref. 173). Former smokers also                  cessation, an individual’s risk of cancers            impacts of a hypothetical policy (setting
                                                  have half the excess risk of experiencing               of the kidney and pancreas decreases                  a ‘‘maximum limit on the amount of
                                                  an abdominal aortic aneurysm                            (id). The risk of coronary heart disease              nicotine in cigarette tobacco filler’’ for
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                                                  compared to current smokers (id.).                      becomes that of a nonsmoker after 15                  the purpose of reducing nicotine in
                                                  Cigarette smoking also complicates                      years of abstinence (id.).                            cigarettes ‘‘to minimally addictive
                                                  many diseases (e.g., smokers with                                                                             levels’’) and to develop subjective
                                                  diabetes have higher risk of                            B. A Nicotine Tobacco Product                         probability distributions for parameters
                                                  complications, including heart and                      Standard Could Lead to Substantial                    of interest.
                                                  kidney disease, poor blood flow in the                  Improvement in Public Health                             A more detailed description of the
                                                  legs and feet, retinopathy and peripheral                 As stated throughout this document,                 methodology, data sources and inputs,
                                                  neuropathy), and smoking cessation can                  nicotine at levels currently found in                 and results from this analysis can be


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                                                  11836                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

                                                  found in two peer-reviewed                                 The methodology implemented in this                experts prior to the conference sessions.
                                                  publications (Refs. 180 and 181).                       analysis has been detailed elsewhere                  Experts were asked to identify any other
                                                                                                          (Refs. 180 and 181). Briefly, the                     relevant information to share with the
                                                  1. Approach to Estimating Impacts to
                                                                                                          simulation begins with an initial                     panel. Detailed written questionnaires
                                                  the Population as a Whole
                                                                                                          population that reflects the sex, age, and            were completed by each expert as
                                                     As described in this document, FDA                   tobacco use distribution (i.e., never,                independent take-home exercises. To
                                                  expects that making cigarettes                          current, and former use of cigarettes and             maintain the independence of the
                                                  minimally addictive or nonaddictive                     noncombusted products) of the U.S.                    experts and encourage open discussion,
                                                  (however that were achieved) would                      population in 2015, based on U.S.                     involvement of FDA staff was limited.
                                                  impact currently addicted smokers by                    Census Bureau estimates. The analysis
                                                  increasing their ability to quit smoking                projects population changes for 2016–                    To explore the potential impact of a
                                                  and affect nonsmokers by reducing the                   2100 in 1-year increments, while                      product standard that would maximally
                                                  likelihood that they would become                       accounting for births, net migration                  benefit population health, the experts
                                                  established and addicted smokers.                       (which accounts for immigration and                   were asked to assume that combusted
                                                  Apelberg et al. 2018 updated a                          emigration) and deaths, the last of                   tobacco products that could be viewed
                                                  previously published discrete system                    which is a function of age, sex, and                  as highly likely to serve as substitutes
                                                  dynamic population model to compare                     tobacco use status. Baseline estimates                for traditional cigarettes (i.e., RYO
                                                  projected outcomes for a status-quo                     for tobacco use status (combinations of               tobacco, pipe tobacco, nonpremium
                                                  scenario (in which no maximum                           current, former, and never use for                    cigars) would be included in the policy,
                                                  nicotine level is implemented) with                     cigarettes and noncombusted products)                 while other tobacco products (i.e.,
                                                  outcomes for a policy scenario in which                 by sex, age, and time since cessation (for            premium cigars, waterpipe/hookah,
                                                  a hypothetical regulation lowering                      cigarettes only) were obtained from the               ENDS, smokeless tobacco) would be
                                                  nicotine in cigarettes, and selected other              2015 National Health Interview Survey                 excluded.13 The eight experts were
                                                  combusted tobacco products, to                          (NHIS) for adults (Ref. 1) and the 2015               asked to predict and quantify the
                                                  minimally addictive was                                 NYTS for youth (Ref. 182). Mortality                  anticipated impact of the policy on the
                                                  implemented 12 (Ref. 181).                              rates and relative risks by tobacco use               following model parameters: (1)
                                                     The model incorporated, based on                     status were obtained from U.S. vital                  Cigarette smoking cessation rates; (2)
                                                  estimates of subject matter experts, the                statistics data, NHIS data linked for                 switching from cigarette smoking to
                                                  following tobacco use transitions to                    mortality followup (for never smoker                  other tobacco products excluded from
                                                  estimate the impact of the policy: (1)                  mortality rates and cigarette smoking                 the hypothetical policy scenario; (3)
                                                  Cigarette smoking cessation; (2) cigarette              relative risks), and the CPS–II (for                  dual use rates; (4) cigarette smoking
                                                  smokers switching to noncombusted                       smokeless tobacco product relative                    initiation rates; and (5) initiation rates
                                                  tobacco products (e.g., smokeless                       risks). In the absence of data on the                 for other tobacco products excluded
                                                  tobacco and/or electronic cigarettes)                   long-term health risks of ENDS,                       from the hypothetical policy scenario.
                                                  rather than quitting tobacco use entirely;              Apelberg et al. assumed that the ENDS                 Each of the eight experts was asked to
                                                  (3) continuing smokers becoming dual                    products carried the same risks                       provide his or her best estimate of the
                                                  users of cigarettes and noncombusted                    associated with traditional smokeless                 parameters’ true value, estimates of the
                                                  tobacco products; (4) nonsmokers                        tobacco (see Ref. 181 for more detail).               minimum and maximum plausible
                                                  initiating regular cigarette smoking; and                  Quantitative inputs for rates of post-             values, and estimates of the 5th, 25th,
                                                  (5) nonsmokers who have been                            policy smoking cessation, switching,                  75th and 95th percentile values. Experts
                                                  dissuaded from smoking cigarettes and                   and dual use in the hypothetical policy               were asked first about impacts in the
                                                  certain other combusted tobacco                         scenario were obtained through a formal               first year immediately following the
                                                  products, who may instead initiate use                  expert elicitation process. The                       potential product standard’s
                                                  of a noncombusted tobacco product.                      methodology used to identify experts,                 implementation and then about the
                                                  The model, based on input parameters                    develop the protocol, conduct the                     impacts in the years following the first
                                                  derived from expert estimates, projected                elicitation, and summarize the findings               full year of implementation. Experts had
                                                  the impact of the policy on four main                   has been described in detail elsewhere
                                                  outcomes: (1) Prevalence of cigarette                                                                         the option of providing separate
                                                                                                          (Ref. 181 at Appendix). Briefly,                      estimates of impacts for males and
                                                  smoking and noncombusted tobacco                        elicitation candidates with expertise in
                                                  product use; (2) the number of                                                                                females for the initial and subsequent
                                                                                                          tobacco science and policy were                       years. For each question, experts were
                                                  individuals dissuaded from cigarette                    identified, ranked, and recruited in
                                                  smoking; (3) cumulative number of                                                                             asked to provide the factors they
                                                                                                          accordance with a pre-specified                       considered pertinent to answering the
                                                  tobacco-attributable deaths avoided; and                protocol, based on publication history
                                                  (4) cumulative life years gained as a                                                                         question, including the studies and
                                                                                                          and accounting for potential conflicts of             research findings most influential to
                                                  result of a regulation setting a maximum                interest. Candidates were required to
                                                  nicotine level.                                                                                               informing their views, and to rate their
                                                                                                          self-certify that they were free of any               familiarity with the relevant literature.
                                                                                                          actual, apparent, or potential conflicts of
                                                    12 The policy scenario presented in Apelberg et al.                                                         The elicitation process provided the
                                                                                                          interests. The elicitation process
                                                  2018 (Ref. 181) did not define a specific level of                                                            experts with opportunities to interact
                                                  nicotine as minimally addictive. Rather, the policy     centered around three online
                                                                                                                                                                and discuss divergent views, from
                                                  scenario simulated implementation of a                  conferencing sessions held during
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                                                  hypothetical standard in which cigarettes and           January and February 2015, following a
                                                  certain other combusted tobacco products were                                                                   13 While the policy scenario presented in

                                                  made minimally addictive, informed by a formal
                                                                                                          written protocol designed to elicit                   Apelberg et al., 2018 (Ref. 181) is based on
                                                  expert elicitation process (Ref. 181), used to          opinions using a structured,                          reduction in nicotine level in cigarettes, cigarette
                                                  estimate the impact of decreasing the addictiveness     standardized approach (see Ref. 181 for               tobacco, RYO tobacco, certain cigars and pipe
                                                  of cigarettes on certain tobacco use behaviors. Given   more details). Briefing books with key                tobacco, the estimated population impact is based
                                                  the lack of specificity in the hypothetical scenario                                                          on reductions in cigarette smoking. FDA notes that
                                                  posed in the Apelberg et al. study, caution is
                                                                                                          papers on the topics of interest as well              not accounting for reductions in the use of other
                                                  warranted in extrapolating its results to the           as background data on tobacco use and                 combusted tobacco products may underestimate the
                                                  assessment of a particular policy.                      policy were provided to a panel of eight              overall impact of this policy scenario.



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                                                                            Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                                                  11837

                                                  which each expert generated his/her                     subsequent years, the simulation model                would quit smoking after
                                                  initial and final estimates.                            projects that the difference in cigarette             implementation of the policy,
                                                     The eight experts’ judgments about                   smoking prevalence between the                        approximately 5 million additional
                                                  the potential values of these parameters                scenarios continues to grow due to the                smokers are estimated to quit smoking
                                                  are published in Apelberg et al. 2018                   experts’ estimates of sustained increases             within one year after implementation of
                                                  (Ref. 181). While parameter estimates                   in cessation and decreases in initiation              the product standard (5th and 95th
                                                  and their probability distributions                     in the policy scenario. The projected                 percentile projections range from
                                                  varied somewhat between participants,                   smoking prevalence drops to a median                  110,000 to 19.7 million), compared to
                                                  most experts had the view that making                   value of 1.4 percent (5th and 95th                    the baseline scenario. The number of
                                                  cigarettes and certain other combusted                  percentile projections range from 0.2                 additional smokers quitting would
                                                  tobacco products minimally addictive                    percent to 5.9 percent) under the policy              increase by approximately 13 million
                                                  would lead to substantial initial and                   scenario by 2060 compared to 7.9                      within 5 years after policy
                                                  long-term increases in smoking                          percent under the baseline. Smoking                   implementation (5th and 95th percentile
                                                  cessation among cigarette smokers and                   prevalence estimates for the year 2100                projections range from 430,000 to 30.5
                                                  decreased initiation among nonsmokers.                  are comparable to those for 2060.                     million), compared to the baseline
                                                  Distributions provided by the eight                        Concurrent with a projected reduction              scenario.
                                                  experts’ parameter estimates were                       in cigarette smoking is a projected
                                                  substantially broad in range. For                       increase in noncombusted product use.
                                                  example, for both male and female non-                                                                         TABLE 2—PROJECTED NUMBER OF IN-
                                                                                                          Adult noncombusted tobacco product                      DIVIDUALS WHO WOULD NOT INI-
                                                  smokers, the median minimum and                         use is higher in the hypothetical policy
                                                  maximum estimates from the eight                                                                                TIATE REGULAR SMOKING AS A RE-
                                                                                                          scenario compared to the baseline
                                                  experts on the ‘‘percent of reduction in                scenario within the first year of                       SULT OF A NICOTINE TOBACCO
                                                  annual smoking initiation rates’’ after                 implementation of the potential product                 PRODUCT STANDARD IMPLEMENTED
                                                  the first year in response to the policy                standard (Ref. 181 at Figure 1), due to                 IN 2020
                                                  ranged from 10 percent to 90 percent.                   estimated increases in switching from
                                                  For both male and female smokers, the                   cigarette smoking and transitions to                                  Cumulative new smoking initiates
                                                  median minimum and maximum                              dual cigarette and noncombusted                                                   avoided
                                                  estimates from the eight experts on the                                                                                                 (in millions)
                                                                                                          product use as a result of the                         Year
                                                  ‘‘percent of current smokers who quit                   hypothetical policy scenario. The                                        5th                   95th
                                                  smoking as a result of the policy’’                                                                                                         Median
                                                                                                          prevalence of noncombusted tobacco                                    percentile             percentile
                                                  within the first year after policy                      product use remains higher in the
                                                  implementation ranged from 4 percent                    policy scenario over time due to the                  2040     ..             2.0      8.1          15.6
                                                  to 50 percent.                                          experts’ predictions that there would be              2060     ..             3.9     16.0          31.0
                                                     To account for uncertainty associated                                                                      2080     ..             5.9     24.4          47.2
                                                                                                          both increased uptake among smokers
                                                  with the expected impact of the policy                                                                        2100     ..             8.0     33.1          64.1
                                                                                                          (through either complete switching or
                                                  scenario, Apelberg et al. 2018 used the
                                                                                                          dual use) and increased initiation due to
                                                  distributions of the experts’ estimates in                                                                       Table 3 presents the estimated
                                                                                                          some dissuaded cigarette initiators
                                                  a Monte Carlo simulation. A Latin                                                                             cumulative number of tobacco-
                                                  Hypercube sampling with 1,000 sample                    taking up noncombusted products
                                                                                                          instead.                                              attributable deaths potentially avoided
                                                  values was performed for each of the                                                                          and life years gained due to the experts’
                                                  expert’s response distributions. For each                  Table 2 provides a projection of the
                                                                                                          number of individuals who would not                   determinations that smoking rates
                                                  simulation, the policy scenario was                                                                           would decrease as a result of the
                                                  compared to the baseline scenario to                    become cigarette smokers over time as a
                                                                                                          result of the hypothetical policy                     hypothetical policy scenario. By 2060, it
                                                  estimate changes in the outcomes
                                                                                                          scenario. Since it is assumed, based on               is estimated that a median value of
                                                  described above. A summary of
                                                                                                          expert input, that there would be a                   almost 3 million deaths due to tobacco
                                                  distribution responses are provided in
                                                                                                          sustained decrease in cigarette smoking               would be avoided (5th and 95th
                                                  Apelberg et al. 2018.
                                                                                                          initiation rates, the model projects that             percentile projections range from 0.7
                                                  2. Projected Impacts to Users, Nonusers,                the cumulative number of dissuaded                    million to 4.3 million), rising to 8.5
                                                  and the Population as a Whole                           smoking initiates continues to increase               million by the end of the century (5th
                                                     As illustrated in Figure 1 (Ref. 181),               over time. By 2100, the median estimate               and 95th percentile projections range
                                                  using the experts’ input estimates for                  from the model, based on the experts’                 from 2.2 million to 11.2 million). The
                                                  the parameters described previously,                    estimates of potential initiation rates as            reduction in premature deaths
                                                  and assuming that the policy is                         a result of the policy, is that more than             attributable to the hypothetical policy
                                                  implemented in 2020, the simulation                     33 million youth and young adults who                 scenario would result in approximately
                                                  model projected that cigarette smoking                  would have otherwise initiated regular                33 million life years gained by 2060 (5th
                                                  prevalence declines substantially in the                smoking would not start as a result of                and 95th percentile projections range
                                                  policy scenario within the first year of                the hypothetical policy scenario (5th                 from 7.8 million to 53.9 million) and
                                                  implementation of the hypothetical                      and 95th percentile projections range                 over 134 million life years gained by
                                                  policy scenario to a median value of                    from 8.0 million to 64.1 million).                    2100 (5th and 95th percentile
                                                  10.8 percent compared with 12.8                            Using the eight experts’ estimates for             projections range from 31.6 million to
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                                                  percent in the baseline scenario. In                    the percent of current smokers who                    183.0 million).




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                                                  11838                             Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

                                                         TABLE 3—PROJECTED NUMBER OF TOBACCO-ATTRIBUTABLE DEATHS AVOIDED AND LIFE YEARS GAINED DUE TO
                                                            REDUCED SMOKING AS A RESULT OF A NICOTINE TOBACCO PRODUCT STANDARD IMPLEMENTED IN 2020
                                                                                                                      Cumulative tobacco attributable deaths avoided                      Cumulative life years gained
                                                                                                                                        (millions)                                                 (millions)
                                                                            Year
                                                                                                                          5th                                    95th               5th                               95th
                                                                                                                                            Median                                                  Median
                                                                                                                       percentile                              percentile        percentile                         percentile

                                                  2040   .........................................................               0.3                   0.9               1.4               2.5              6.8            11.5
                                                  2060   .........................................................               0.7                   2.8               4.3               7.8             33.1            53.9
                                                  2080   .........................................................               1.3                   5.6               7.9              16.5             79.6           118.0
                                                  2100   .........................................................               2.2                   8.5              11.2              31.6            134.4           183.0



                                                  3. Request for Comments                                                   • Percent of dissuaded smoking                       electronically at https://
                                                     Based on the experts’ judgments that                                 initiates who initiate noncombusted                    www.regulations.gov. FDA has verified
                                                  reducing nicotine levels in combusted                                   tobacco product use instead.                           the website addresses, as of the date this
                                                  tobacco products would increase                                         Please include your assumptions about                  document publishes in the Federal
                                                  smoking cessation and decrease                                          the scope of the standard and data that                Register, but websites are subject to
                                                  smoking initiation, and calculations                                    supports your estimates.                               change over time.
                                                  from the simulation model describing                                    4. Additional Public Health Benefits                   1. National Center for Health Statistics,
                                                  the potential impact of reducing                                                                                                    National Health Interview Survey
                                                  nicotine to minimally addictive levels                                     While the projections from the                           website, available at https://
                                                  in cigarettes and selected other                                        simulation model calculating the                            www.cdc.gov/nchs/nhis/data-
                                                                                                                          potential impact from reducing nicotine                     questionnaires-documentation.htm.
                                                  combusted tobacco products, FDA
                                                                                                                          to minimally addictive levels in                       2. Benowitz, N.L., and J.E. Henningfield,
                                                  anticipates a significant public health                                                                                             ‘‘Reducing the Nicotine Content to Make
                                                  benefit to the United States. This                                      cigarettes suggest a significant public
                                                                                                                                                                                      Cigarettes Less Addictive,’’ Tobacco
                                                  hypothesis is based on the assumption                                   health benefit to the United States                         Control, 22(Suppl 1):i14-i17, 2013.
                                                  that the reduction in nicotine levels in                                resulting from substantial reductions in               3. Hatsukami, D.K., S.J. Heishman, R.I. Vogel,
                                                  combusted tobacco products would                                        smoking prevalence (based on the                            et al., ‘‘Dose-Response Effects of
                                                  create substantial reductions in smoking                                model’s inputs, which reflect the                           Spectrum Research Cigarettes,’’ Nicotine
                                                  prevalence due to increased smoking                                     experts’ assessments that the reduction                     & Tobacco Research, 15(6):1113–1121,
                                                  cessation and reduced initiation of                                     in nicotine levels in combusted tobacco                     2013, available at http://ntr.oxford
                                                  regular smoking. Given that research                                    products would create substantial                           journals.org/content/15/6/1113.long#T4.
                                                                                                                          increases in smoking cessation and                     4. Hatsukami, D., M. Kotlyar, L.A.
                                                  studies cannot easily replicate the                                                                                                 Hertsgaard, et al., ‘‘Reduced Nicotine
                                                  condition of a nationally enforced                                      reductions in initiation of regular
                                                                                                                                                                                      Content Cigarettes: Effects on Toxic
                                                  restriction on nicotine to minimally                                    smoking), the analysis does not address                     Exposure, Dependence, and Cessation,’’
                                                  addictive levels in cigarettes, FDA                                     certain potential added benefits. First,                    Addiction, 105(2):343–355, 2010.
                                                  sought expert opinion through an                                        the model does not account for                         5. Benowitz, N.L., S.M. Hall, S. Stewart, et
                                                  established elicitation process to                                      increased quality of life from decreased                    al., ‘‘Nicotine and Carcinogen Exposure
                                                  provide the best estimates for the                                      tobacco-related morbidity, nor does it                      With Smoking of Progressively Reduced
                                                  potential values and associated ranges                                  account for cost savings from medical                       Nicotine Content Cigarettes,’’ Cancer
                                                  of the likely impact of a hypothetical                                  care averted. Second, the analysis does                     Epidemiology Biomarkers & Prevention,
                                                                                                                          not account for the impacts of                              16(11):2479–2485, 2007.
                                                  reduction in cigarettes’ nicotine content                                                                                      6. Carter B.D., C.C. Abnet, D. Fesankich, et
                                                  (to be achieved by a potential product                                  secondhand smoke exposure on public
                                                                                                                                                                                      al., ‘‘Smoking and Mortality—Beyond
                                                  standard) on tobacco use behaviors.                                     health in the United States. Third, the                     Established Causes,’’ New England
                                                  FDA requests data, evidence, and other                                  analysis does not account for reductions                    Journal of Medicine, 372:7, 631–640,
                                                  information regarding the potential                                     in harms caused by smoking-related                          2015.
                                                  public health benefits (or risks) if FDA                                fires. Fourth, the potential impact                    7. U.S. Department of Health and Human
                                                  were to move forward in this area.                                      described does not account for the                          Services, ‘‘The Health Consequences of
                                                  Specifically, FDA is seeking data,                                      potential impact on population health                       Smoking—50 Years of Progress: A Report
                                                  evidence, and other information that                                    from use of the other combusted                             of the Surgeon General’’; 2014.
                                                                                                                          products (e.g., cigars, pipes) if the                  8. U.S. Department of Health and Human
                                                  could inform the following five                                                                                                     Services, ‘‘Preventing Tobacco Use
                                                  parameter inputs that would be helpful                                  assumed rule were to cover such
                                                                                                                                                                                      Among Youth and Young Adults,’’ A
                                                  in determining the public health impact                                 products. Finally, these projections do                     Report of the Surgeon General; 2012.
                                                  of a nicotine tobacco product standard:                                 not assess whether there could be                      9. Poorthuis, R.B., N.A. Goriounova, J.J.
                                                     • Percent of current cigarette smokers                               potential health benefits associated with                   Couey, et al., ‘‘Nicotinic Actions on
                                                  who would quit cigarette smoking as a                                   smokers cutting down on the number of                       Neuronal Networks for Cognition:
                                                  result of a standard restricting nicotine                               cigarettes smoked as a result of the                        General Principles and Long-Term
                                                  to minimally addictive levels.                                          standard.                                                   Consequences,’’ Biochemical
daltland on DSKBBV9HB2PROD with PROPOSALS2




                                                     • Percent of quitters switching to                                                                                               Pharmacology, 78(7):668–676, 2009.
                                                                                                                          VI. References                                         10. Slovic, P., Smoking: Risk Perception, &
                                                  other combusted or noncombusted
                                                                                                                            The following references are on                           Policy, II.6 ‘‘Cigarette Smokers: Rational
                                                  tobacco products.                                                                                                                   Actors or Rational Fools?’’ Thousand
                                                     • Percent of continuing smokers who                                  display in the Dockets Management                           Oaks, CA: Sage Publications, 2001.
                                                  become dual product users of cigarettes                                 Staff (see ADDRESSES) and are available                11. Centers for Disease Control and
                                                  and noncombusted tobacco products.                                      for viewing by interested persons                           Prevention, ‘‘High School Students Who
                                                     • Percent reduction in annual                                        between 9 a.m. and 4 p.m. Monday                            Tried to Quit Smoking Cigarettes—
                                                  smoking initiation rates.                                               through Friday; they are also available                     United States, 2007,’’ Morbidity and



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                                                                            Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                                               11839

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                                                       Adults—United States, 2001–2010,’’                      Scan Using (99m)Tc-Labeled Sulfur                     September 5, 2008, available at https://
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                                                       ‘‘Quitting Smoking Among Adults—                        What Exactly Is Your Patient Using and                Nicotine Dependence in Adolescents,’’
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                                                  11840                     Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules

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                                                                            Federal Register / Vol. 83, No. 52 / Friday, March 16, 2018 / Proposed Rules                          11843

                                                       Survey website, available at https://                Dated: March 12, 2018.
                                                       www.cdc.gov/tobacco/data_statistics/               Leslie Kux,
                                                       surveys/nyts/index.htm.                            Associate Commissioner for Policy.
                                                                                                          [FR Doc. 2018–05345 Filed 3–15–18; 8:45 am]
                                                                                                          BILLING CODE 4164–01–P
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Document Created: 2018-03-16 01:12:12
Document Modified: 2018-03-16 01:12:12
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionAdvance notice of proposed rulemaking.
DatesSubmit either electronic or written comments on the ANPRM by June 14, 2018.
ContactGerie Voss, Center for Tobacco Products, Food and Drug Administration, 10903 New Hampshire Ave., Silver Spring, MD 20993, 1-877-CTP-1373, [email protected]
FR Citation83 FR 11818 
RIN Number0910-AH86

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