83_FR_63403 83 FR 63168 - Food Handler Antiseptic Drug Products for Over-the-Counter Human Use; Request for Data and Information

83 FR 63168 - Food Handler Antiseptic Drug Products for Over-the-Counter Human Use; Request for Data and Information

DEPARTMENT OF HEALTH AND HUMAN SERVICES
Food and Drug Administration

Federal Register Volume 83, Issue 235 (December 7, 2018)

Page Range63168-63176
FR Document2018-26561

The Food and Drug Administration (FDA or Agency) is announcing the establishment of a docket to obtain data, information, and comments that will assist the Agency in assessing the safety and effectiveness of food handler antiseptic drug products (i.e., antiseptic hand washes or rubs intended for use in food handling settings) for over-the- counter (OTC) human use. We are asking manufacturers of food handler antiseptics and other interested parties to submit safety and effectiveness data on OTC food handler antiseptics marketed for use by food handlers in commercial or regulated environments where growth, harvest, production, manufacturing, processing, packaging, transportation, storage, preparation, service, or consumption of food occurs. We also are inviting comments and requesting data on definitions, eligibility, current conditions of use of food handler antiseptics; safety and effectiveness criteria; as well as test methods to demonstrate the effectiveness of food handler antiseptics. In general, we are seeking input on current use conditions of antiseptics used in the food handler setting and recommended testing to establish the effectiveness of OTC food handler antiseptics. This information and data will inform FDA's ongoing review of OTC antiseptic drug products and will specifically inform our review of food handler antiseptic products.

Federal Register, Volume 83 Issue 235 (Friday, December 7, 2018)
[Federal Register Volume 83, Number 235 (Friday, December 7, 2018)]
[Notices]
[Pages 63168-63176]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-26561]



[[Page 63168]]

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DEPARTMENT OF HEALTH AND HUMAN SERVICES

Food and Drug Administration

[Docket No. FDA-2018-N-3458]


Food Handler Antiseptic Drug Products for Over-the-Counter Human 
Use; Request for Data and Information

AGENCY: Food and Drug Administration, HHS.

ACTION: Notice; request for data and information.

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

SUMMARY: The Food and Drug Administration (FDA or Agency) is announcing 
the establishment of a docket to obtain data, information, and comments 
that will assist the Agency in assessing the safety and effectiveness 
of food handler antiseptic drug products (i.e., antiseptic hand washes 
or rubs intended for use in food handling settings) for over-the-
counter (OTC) human use. We are asking manufacturers of food handler 
antiseptics and other interested parties to submit safety and 
effectiveness data on OTC food handler antiseptics marketed for use by 
food handlers in commercial or regulated environments where growth, 
harvest, production, manufacturing, processing, packaging, 
transportation, storage, preparation, service, or consumption of food 
occurs. We also are inviting comments and requesting data on 
definitions, eligibility, current conditions of use of food handler 
antiseptics; safety and effectiveness criteria; as well as test methods 
to demonstrate the effectiveness of food handler antiseptics. In 
general, we are seeking input on current use conditions of antiseptics 
used in the food handler setting and recommended testing to establish 
the effectiveness of OTC food handler antiseptics. This information and 
data will inform FDA's ongoing review of OTC antiseptic drug products 
and will specifically inform our review of food handler antiseptic 
products.

DATES: Submit either electronic or written comments, data, or 
information by February 5, 2019.

ADDRESSES: You may submit data and comments as follows. For each 
comment, indicate the specific question to which you are responding. 
Please note that late, untimely filed comments will not be considered. 
Electronic comments must be submitted on or before February 5, 2019. 
The https://www.regulations.gov electronic filing system will accept 
comments until 11:59 p.m. Eastern Time at the end of February 5, 2019. 
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''). We 
note however, that the OTC drug monograph process is a public process; 
and, the Agency intends to consider only non-confidential material that 
is submitted to the docket in response to this request for information, 
or that is otherwise publicly available in evaluating if a relevant 
ingredient is generally recognized as safe and effective (GRAS/GRAE).

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-2018-N-3458 for ``Food Handler Antiseptic Drug Products for Over-
the-Counter Human Use; Request for Data and Information.'' 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: Pranvera Ikonomi, Center for Drug 
Evaluation and Research, Food and Drug Administration, 10903 New 
Hampshire Ave., Bldg. 22, Rm. 5418, Silver Spring, MD 20993-0002, 240-
402-0272.

SUPPLEMENTARY INFORMATION: 

Table of Contents

I. Introduction
II. Table of Abbreviations/Commonly Used

[[Page 63169]]

Acronyms in This Document
III. Background
    A. Background on Topical Antiseptics
    B. Regulatory History of Food Handler Antiseptics
IV. Proposed Effectiveness Models and Indications for Food Handler 
Antiseptics
    A. Health Care Continuum Model
    B. FDA Comments on the Proposed Health Care Continuum Model
    C. Inclusion of Antiviral Indications in Food Handler 
Antiseptics
    D. FDA Response on the Proposed Model for Antiviral Indications 
of the Antiseptic Products
V. Data
VI. Questions for Public Input
    A. Definition of Food Handler Antiseptics
    B. Active Ingredients for Food Handler Antiseptic Products
    C. Safety
    D. Effectiveness
VII. References

I. Introduction

    We are seeking public input regarding the safety and effectiveness 
of food handler antiseptics to inform FDA's ongoing review of OTC 
antiseptic drug products and the Agency's review of the active 
ingredients used in these products in the food handler setting. The 
Agency seeks data and information about these topical antiseptics and 
how the active ingredients should be tested and evaluated for safety 
and effectiveness.
    This Request for Information (RFI) covers only OTC food handler 
antiseptics that are intended for use by food handlers in commercial or 
regulated environments where growth, harvest, production, 
manufacturing, processing, packaging, transportation, storage, 
preparation, service, or consumption of food occurs. This RFI does not 
cover consumer antiseptic washes (78 FR 76444, December 17, 2013; 81 FR 
61106, September 6, 2016); health care antiseptics (80 FR 25166, May 1, 
2015; 82 FR 60474, December 20, 2017); consumer antiseptic rubs (81 FR 
42912, June 30, 2016); or antiseptics identified as ``first aid 
antiseptics'' in the 1991 First Aid tentative final monograph (TFM) (56 
FR 33644, July 22, 1991).
    FDA has tentatively concluded that, based on FDA's current 
categorization of other antiseptic products and considering factors 
that may include specific microorganisms of concern in food handling 
environments as well as the safety of repeated-exposure use patterns, 
food handler antiseptics may differ from antiseptic products addressed 
in other rulemakings. There has been support from industry and 
interested parties for an OTC food handler antiseptic category, and 
some information and data have been submitted in support of 
establishing such a category. However, we believe more data and 
information are needed to assist the Agency in evaluating the safety 
and effectiveness criteria appropriate for food handler antiseptics.

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

------------------------------------------------------------------------
       Abbreviation/ acronym                    What it means
------------------------------------------------------------------------
ANPR...............................  Advance Notice of Proposed Rule.
AOAC...............................  Association of Official Analytical
                                      Chemists (now ``AOAC
                                      International'').
ASTM...............................  American Society for Testing and
                                      Materials (now ``ASTM
                                      International'').
ATCC...............................  American Type Culture Collection.
CDC................................  Centers for Disease Control and
                                      Prevention.
FDA................................  Food and Drug Administration.
FD&C Act...........................  Food Drug and Cosmetic Act.
FR.................................  Federal Register.
GRAS/GRAE..........................  Generally recognized as safe and
                                      effective.
HACCP..............................  Hazard analysis and critical
                                      control point.
HCCM...............................  Health Care Continuum Model.
MIC................................  Minimum Inhibitory Concentration
                                      Testing.
OTC................................  Over-the-counter.
PCPC...............................  Personal Care Products Council.
RFI................................  Request for information.
SDA................................  Soap and Detergent Association.
TFM................................  Tentative final monograph.
U.S.C..............................  United States Code.
------------------------------------------------------------------------

III. Background

A. Background on Topical Antiseptics

    This RFI is part of FDA's ongoing evaluation of the safety and 
effectiveness of OTC drug products marketed in the United States on or 
before May 11, 1972 (OTC Drug Review). The OTC topical antimicrobial 
rulemaking has had a broad scope, encompassing drug products that may 
contain the same active ingredients, but that are labeled and marketed 
for different intended uses. In 1974, the Agency published an advance 
notice of proposed rulemaking (ANPR) for topical antimicrobial products 
that encompassed products for both health care and consumer use. The 
1974 ANPR covered seven different intended uses for these products: (1) 
Antimicrobial soap; (2) health care personnel hand wash; (3) patient 
preoperative skin preparation; (4) skin antiseptic; (5) skin wound 
cleanser; (6) skin wound protectant; and (7) surgical hand scrub (39 FR 
33103 at 33140, September 13, 1974). FDA subsequently identified skin 
antiseptics, skin wound cleansers, and skin wound protectants as 
antiseptics used primarily by consumers for first aid use and referred 
to them collectively as ``first aid antiseptics.'' FDA published a 
separate TFM covering the first aid antiseptics in the 1991 First Aid 
TFM (56 FR 33644). The remaining categories of topical antimicrobials 
were addressed in the 1994 TFM for healthcare antiseptic drug products 
(59 FR 31402, June 17, 1994). The 1994 TFM covered: (1) Antiseptic hand 
wash (i.e., consumer hand wash); (2) health care personnel hand wash; 
(3) patient preoperative skin preparation; and (4) surgical hand scrub 
(59 FR 31402 at 31442).
    The 1994 TFM did not distinguish between consumer antiseptic washes 
and rubs and health care antiseptic washes and rubs. In the 2013 
Consumer Wash Proposed Rule, we proposed that our evaluation of OTC 
antiseptic drug products be further subdivided into health care 
antiseptics and consumer antiseptics (78 FR 76444 at 76446). These 
categories are distinct based on the proposed use setting, target 
population, and the fact that each setting presents a different level 
of risk for infection. In the 2013 Consumer Wash Proposed Rule (78 FR 
76444 at 76446-76447) and the 2016 Consumer Rub Proposed Rule (81 FR 
42912 at 42915-42916), we proposed that our evaluation of OTC consumer 
antiseptic drug products be further subdivided into consumer washes 
(products that are rinsed off with water, including hand washes and 
body washes) and consumer rubs (products that are not rinsed off after 
use, including hand rubs and antibacterial wipes).

B. Regulatory History on Food Handler Antiseptics

    In the 1994 TFM, FDA also identified a new category of antiseptics 
for use by the food industry, which historically had been marketed for 
use by food handlers in federally inspected meat and poultry processing 
plants, and other food handling establishments (59 FR 31402 at 31440). 
As stated in the 2016 Consumer Wash Final Rule (81 FR 61106 at 61109; 
September 6, 2016) and the 2017 Health Care Antiseptic Final Rule (82 
FR 60474 at 60483, December 20, 2017), we classify the food handler 
antiseptics as separate and distinct from the other OTC topical 
antiseptics. Based on FDA's current categorization of other OTC 
antiseptic products and given the additional issues raised by the 
public health consequences of foodborne illness, differences in 
frequency and type of use, and contamination of the hands by dirt, 
grease and other oils, we believe that a separate evaluation of food 
handler antiseptics is warranted. Food handler antiseptics include 
antiseptic products labeled for use in commercial or other regulated 
settings where food is grown, harvested, manufactured, packed, held, 
transported, prepared, served, or

[[Page 63170]]

consumed. The intended use of these products (the reduction of 
microorganisms on the skin for the purpose of preventing disease caused 
by transfer of microorganism from hands to foods) makes them drugs 
under the provisions of the Federal, Food, Drug, and Cosmetic Act (FD&C 
Act), which defines a drug to include an article intended for use in 
the diagnosis, cure, mitigation, treatment, or prevention of disease in 
man (section 201(g)(1) of the FD&C Act; 21 U.S.C. 321(g)(1)).
    FDA has determined that the safety and effectiveness of active 
ingredients intended for use in food handler antiseptic products needed 
to be demonstrated, and we proposed to include an evaluation of the 
safety and effectiveness of these active ingredients in the rulemaking 
for OTC topical antimicrobial drug products (59 FR 31402 at 31440). In 
the 1994 TFM, we requested relevant data and information to assist in 
characterizing this category of food handler antiseptics (59 FR 31402 
at 31440), but we did not discuss what data would be necessary to 
support a GRAS/GRAE determination. In response to the 1994 TFM, we 
received public comments pertaining to food handler antiseptic hand 
washes (see section IV), including an industry proposal, the Health 
Care Continuum Model (HCCM), which refers to the effectiveness, 
effectiveness testing requirements, and labeling of antiseptic products 
discussed in the 1994 TFM, including the antiseptic hand wash products 
used by food handlers (Refs. 1 and 2). We also received comments in 
response to the 1994 TFM regarding antiviral testing for antiseptic 
products used by food handlers (59 FR 31402).
    FDA also received comments pertaining to food handler antiseptics 
in response to the 2013 Consumer Antiseptic Wash proposed rule. One of 
these comments was submitted from the Personal Care Products Council 
(PCPC) and American Cleaning Institute in the form of a citizen 
petition (FDA-1975-N-0012-0493) (Ref. 3) requesting that FDA, among 
other things, define food handler antiseptic hand washes or rubs as 
antiseptic products for use in commercial establishments and other 
regulated settings, establish food handler antiseptic hand washes as a 
separate category, and consider food handler antiseptic products as 
professional use products similar to health care antiseptics.

IV. Proposed Effectiveness Models and Indications for Food Handler 
Antiseptics

    In response to the 1994 TFM, FDA received comments pertaining to 
food handler antiseptic hand washes. The comments that addressed food 
handler antiseptic hand washes generally agreed that they should be 
evaluated in the review of antiseptic products. FDA also received 
comments and a citizen petition proposing an effectiveness model for 
antiseptic products in general, including food handler antiseptics, as 
well as a proposal on specific indications for food handler antiseptics 
(Refs. 1, 2, 33, and 14). We describe and respond to the proposed model 
and indications in sections IV.A. through IV.D.

A. Health Care Continuum Model

    A comment from two trade associations proposed regulating food 
handler antiseptics as part of the HCCM (Ref. 1). This regulatory model 
included proposed labeling, final formulation testing requirements, and 
effectiveness testing criteria. The proposed testing included in vitro 
and in vivo testing that is modeled after FDA's previously proposed 
testing for OTC health care antiseptic drug products (Ref. 1). Table 1 
summarizes the HCCM's proposed in vitro and in vivo testing and other 
effectiveness criteria for food handler antiseptics.

                    Table 1--Summary of Industry Proposed Testing of Food Handler Antiseptics
                                          [Health Care Continuum Model]
----------------------------------------------------------------------------------------------------------------
                                            Test organisms  (American type culture
          Proposed test method                 collection strain number (ATCC))            Efficacy criteria
----------------------------------------------------------------------------------------------------------------
Establish in vitro spectrum of            Candida albicans. (ATCC 10231). *.........  None Stated.
 antimicrobial activity of active         Enterobacter cloacae. (ATCC 13047)........
 ingredient (Minimum inhibitory           Entercoccus faecalis. (ATCC 19433)........
 concentration testing (MIC)).            Escherichia coli. (ATCC 25922). *.........
                                          Klebsiella pneumoniae (ATCC 10031)........
                                          Listeria monocytogenes (ATCC 7644).*
                                          Proteus mirabilis (ATCC 7002).............
                                          Pseudomonas aeruginosa (ATCC 9027)........
                                          Pseudomonas stutzeri (ATCC 17588).........
                                          Salmonella choleraesuis (ATCC 10708).*
                                          Salmonella enteritidis (ATCC 13076).*
                                          Salmonella typhi (ATCC 6539).*
                                          Salmonella typhimurium (ATCC 11311).*
                                          Shigella dysenteraiae (ATCC 13313)........
                                          Shigella sonnei (ATCC 11060).*
                                          Staphylococcus aureus (ATCC 6538).*
                                          Streptococcus pyogenes (ATCC 19615).*
Establish in vitro spectrum of            Escherichia coli (ATCC 25922). *..........  None Stated.
 antimicrobial activity of end-use        Klebsiella pneumoniae. (ATCC 10031).......
 formulation (MIC).                       Listeria monocytogenes. (ATCC 7644). *....
                                          Pseudomonas stutzeri. (ATCC 17588)........
                                          Salmonella choleraesuis (ATCC 10708).*
                                          Salmonella enteritidis (ATCC 13076).*
                                          Salmonella typhi (ATCC 6539).*
                                          Salmonella typhimurium (ATCC 11311).*
                                          Shigella sonnei (ATCC 11060).*
                                          Staphylococcus aureus (ATCC 6538).*

[[Page 63171]]

 
Establish broad spectrum and fast acting  Escherichia coli (ATCC 11229).............  1 minute: 1 log10
 claims for formulations (In vitro Time   Klebsiella pneumoniae (ATCC 10031)........   reduction
 Kill Test).                              Listeria monocytogenes (ATCC 7644).*......  5 minutes: 2 log10
                                          Salmonella typhi (ATCC 6539).*............   reduction
                                                                                      Must meet criteria for 4
                                                                                       of 5 strains.
                                          Staphylococcus aureus (ATCC 6538)
General Use Hand Wash Method              Serratia marcescens (ATCC 14756) or.......  1st wash 1.5 log10
 (Formulation).                           Escherichia coli (ATCC 11229).............   reduction.
                                                                                      5th wash: 2 log10
                                                                                       reduction.
American Society for Testing and          Serratia marcescens (ATCC 14756) or.......  Rubs: 2 log10 reduction.
 Materials International (ASTM) Hand Rub  Escherichia coli (ATCC 11229).............
 Method (Formulation).
----------------------------------------------------------------------------------------------------------------
* Organisms included in the Hazard Analysis and Critical Control Point Principles and Application Guidelines
  (Ref. 4).

    The HCCM proposal explained that the ATCC strains recommended for 
in vitro testing were chosen to represent a broad spectrum of bacteria 
that ``present a challenge to antisepsis'' and are the principal 
foodborne pathogens and contaminants. The model also proposed the use 
of clinical simulation studies to demonstrate the effectiveness of 
final formulations that rely on the reduction of the same surrogate 
organisms that historically have been used to demonstrate the 
effectiveness of health care personnel and antiseptic hand washes. More 
specifically, two protocols were proposed for clinical simulation 
studies: (1) A General Hand Wash Method for the demonstration of fast-
acting and persistent activity of products used with water; and (2) an 
ASTM method for the evaluation of alcohol-based hand rub formulations 
to demonstrate the fast-acting antimicrobial activity of leave-on 
products. The proposal also provides log-reduction effectiveness 
criteria that are similar to the effectiveness criteria for health care 
personnel hand antiseptics proposed in the 1994 TFM (59 FR 31402 at 
31444) (see table 1). The Soap and Detergent Association (SDA) stated 
that the proposed HCCM ``log reduction and acceptance criteria will 
demonstrate the appropriate effectiveness of products used in a food 
handling environment'' (Ref. 5). However, the HCCM did not define the 
appropriate level of effectiveness or include data to support 
corresponding effectiveness testing criteria.
    The SDA also recommended the continued use of the Association of 
Official Analytical Chemists (AOAC International) chlorine equivalency 
test for in vitro effectiveness testing of food handler antiseptics 
(Ref. 6). The SDA suggested that an antiseptic activity equivalent to 
50 parts per million of available chlorine be a strict requirement for 
food handler antiseptic products (Ref. 5).

B. FDA Comments on the Proposed Health Care Continuum Model

    FDA identified several issues in the proposed HCCM. The use 
conditions of food handler antiseptics vary widely. Heavily soiled 
items are common in food preparation and food handling settings, and in 
general, antiseptic products are considered to be less effective in 
soiled hands (Ref. 7). Studies simulating moderate and heavily soiled 
hand conditions showed decreased efficacy of antiseptic products, 
suggesting that the organic load, i.e., the amount of fat, grease, 
blood, and debris associated with food handling, affects the efficacy 
of antiseptic products (Ref. 8). The transfer of bacteria from 
contaminated food items and surfaces to hands may also be affected by 
the organic load contained in such items (Ref. 9). Use conditions vary 
in both organic and bacterial load, resulting in moderate to high 
levels of bacterial contamination. These differences are, in some 
cases, related to the setting in which a product is used. The 
differences may be related to other factors as well. The proposed HCCM 
does not take into consideration the wide-ranging use conditions of 
food handler antiseptics, and it raises the question of how to best 
address the broad spectrum of situational challenges stemming from 
these varied uses.
    Contact time is another factor that is expected to impact an 
antiseptic's effectiveness. The Food Code, a model that represents 
FDA's advice for a uniform system of provisions that address the safety 
and protection of food offered at retail and in food service 
establishments, specifies that a food handler's hand cleaning regimen 
should last ``at least 20 seconds'' using a cleaning compound in a hand 
washing sink (Ref. 10). In the method for in vivo efficacy testing 
proposed in the HCCM, contact times vary from 30 seconds to 5 minutes. 
These timeframes do not reflect the hand cleaning procedures 
recommended in the Food Code. The contact times used in effectiveness 
testing should be appropriately related to reasonable real-life 
conditions of use, as reflected in product labeling. We are interested 
in comments on appropriate contact times for in vivo effectiveness 
testing.
    The HCCM proposal also requires the demonstration of an 
antiseptic's effectiveness after multiple hand washes or rubs and 
proposes effectiveness criteria that range from 1.5 to 2 
log10 reduction of the test organism. Given the manner in 
which food handler antiseptics are currently used (i.e., short contact 
times with use of antiseptics, high bacterial loads, and expectations 
that these products be effective after a single use), the proposed in 
vivo effectiveness testing does not appear to reflect food handler 
antiseptic use situations and raises the question of what criteria best 
demonstrate the effectiveness of food handler antiseptics.
    When evaluating food handler antiseptics, it is important to focus 
on the foodborne pathogens most often known to cause foodborne illness 
through contamination of food by food employee's hands (Ref. 11). The 
list of ``Pathogens Transmitted by Food Contaminated by Infected Person 
Who Handle Food, and Modes of Transmission of Such Pathogens'' is 
available on the Centers for Disease Control and Prevention (CDC) 
website (https://www.cdc.gov/foodsafety/pdfs/pathogens-by-food-handlers-508c.pdf). The in vitro testing proposed in the HCCM includes 
only bacterial species.

[[Page 63172]]

However, in 2014, the CDC reported that bacterial foodborne illness 
accounted for only 51 percent of food-borne disease outbreaks. Viruses 
were cited as the second most common cause of disease outbreaks (43 
percent). Thus, over one-third of food-borne disease outbreaks included 
in the CDC report were not caused by bacteria (Ref. 12). Further, 
norovirus was reported as the most common cause of confirmed, single-
etiology outbreaks, accounting for 284 outbreaks (43 percent); its 
transmission from contaminated hands to food items plays a major role 
in this foodborne illness. Parasites, including the protozoan species 
Giardia lamblia, Cryptosporidium species, and Cyclospora cayentanensis, 
accounted for a much smaller number of outbreaks, but should also be 
taken into consideration. These considerations raise questions 
concerning the antimicrobial spectrum of activity that food handler 
antiseptic active ingredients should demonstrate to be considered 
effective and the appropriate in vitro studies to assess such activity 
(see section IV.C and IV.D.).
    In addition, in a 2005 meeting of FDA's Nonprescription Drugs 
Advisory Committee (Ref. 13) the committee observed that the existing 
test methods for topical antiseptics used in consumer and professional 
settings are based on the premise that bacterial reductions translate 
to a reduced potential for infection. Although bacterial reduction can 
be demonstrated using tests that simulate conditions of actual use, no 
corresponding clinical data demonstrate that bacterial reductions of 
the required magnitude produce a corresponding reduction in infection. 
For consumer antiseptic wash products, FDA has since recommended 
clinical outcome studies to demonstrate the products' clinical benefit 
and their superiority compared to plain soap and water (78 FR 76444, 81 
FR 61106). This concern--whether the product's efficacy can be 
evaluated solely by in vitro tests--remains valid also for food handler 
antiseptics.
    In light of the questions raised by FDA's review of the proposed 
HCCM, we have concluded that additional public input is needed before a 
proposed monograph for OTC food handler antiseptics can be developed. 
Therefore, FDA is seeking comments and requesting submission of data 
and information relevant to a number of questions related to OTC food 
handler antiseptics (see section V.)

C. Inclusion of Antiviral Indications in Food Handler Antiseptics

    In response to the 1994 TFM, the Agency also received a citizen 
petition in 2003 from the SDA and Cosmetic Toiletry and Fragrance 
Association \1\ (SDA/PCPC Petition) requesting that the proposed rule 
be amended to include antiviral indications for OTC consumer, food 
handler, and health care personnel antiseptics (Ref. 14). The SDA/PCPC 
Petition proposed labeling, final formulation testing requirements, and 
effectiveness criteria to demonstrate the antiviral activity of 
antiseptics (Ref. 15). Table 2 summarizes the SDA/PCPC Petition's 
proposed testing and other effectiveness criteria for food handler 
antiseptics.
---------------------------------------------------------------------------

    \1\ In 2007, the CTFA changed its name to the Personal Care 
Products Council (PCPC).

 Table 2--Summary of Petitioner's Proposed Testing for Demonstration of Antiviral Effectiveness of Food Handler
                                                   Antiseptics
----------------------------------------------------------------------------------------------------------------
                                                                                        Effectiveness criteria
          Proposed test method                 Test organisms (ATCC strain No.)        (reduction of viral load)
----------------------------------------------------------------------------------------------------------------
Establish antiviral activity of active    Rotavirus Wa (ATCC VR-2018)...............  None stated.
 ingredient (None).                       Rhinovirus Type 37 (ATCC VR-1147) or......
                                          Rhinovirus Type 13 (ATCC VR-284)..........
Establish antiviral activity of           Rotavirus Wa (ATCC VR-2018)...............  2 log10.
 formulation.                             Rhinovirus Type 37 (ATCC VR-1147) or......  Contact time: Unspecified,
(ASTM E1838 \1\--fingerpad method)......  Rhinovirus Type 13 (ATCC VR-284)..........   should reflect use
(ASTM E2011 \2\--entire-hand method)....                                               conditions
----------------------------------------------------------------------------------------------------------------
\1\ ASTM E1838; ``Standard Test Method for Determining the Virus-Eliminating Effectiveness of Hygienic Handwash
  and Handrub Agents using Fingerpads of Adults.''
\2\ ASTM E2011; ``Standard Test Method for Evaluation of Hygienic Handwash and Handrub Formulations for Virus-
  Eliminating Activity Using the Entire Hand.''

    The SDA/PCPC Petition included studies and publications in which 
the antiviral activity of several active ingredients included in the 
1994 TFM and their final formulations were assessed by both in vitro 
test methods and clinical simulation studies (i.e., studies that 
simulate conditions of use to evaluate a product's efficacy in human 
subjects).
    The SDA/PCPC Petition recommends testing against respiratory and 
enteric viral pathogens to determine the antiviral activity of the 
antiseptics: Rhinovirus Type 37 (ATCC VR-1147) or Rhinovirus Type 13 
(ATCC VR-284) and Rotavirus Wa (ATCC VR-2018). The rationale for this 
recommendation is based on the premise that both viruses are important 
hand-transmitted pathogens, less susceptible to inactivation than 
enveloped viruses, and are known to survive for a significant period on 
skin and surfaces commonly contacted by hands. As such, they present an 
adequate challenge for testing the antiviral activity of antiseptic 
products.
    Regarding the test methods for demonstration of virucidal 
effectiveness, the SDA/PCPC Petition proposed two specific methods: 
ASTM E1838 and ASTM E201. Both these methods present simulation models 
of viral contamination, and both measure the reduction of viral load on 
fingerpads (ASTM E1838) or on the entire hand (ASTM E201) after the 
application of the antiseptic test product. The SDA/PCPC Petition also 
proposed a 2 log10 reduction of the test virus or viruses as 
the criterion for antiviral effectiveness. Although several in vitro 
tests such as the carrier method (Ref. 16) and suspension tests (Ref. 
17) are presented in the submission, there is no recommendation with 
regard to in vitro test methods for demonstration of

[[Page 63173]]

virucidal activity of antiseptic products and/or their active 
ingredients.
    Lastly, the SDA/PCPC Petition suggested a two-step approach for 
antibacterial and antiviral labeling: Providing that the antibacterial 
criteria as laid out in the rulemaking have been met, the antiviral 
labeling would be optional for products that in addition to 
antibacterial criteria, meet the antiviral criteria.

D. FDA Response to the Proposed Model for Antiviral Indications of the 
Antiseptic Products

    FDA responded to the SDA/PCPC Petition on March 26, 2010, and 
denied the petition's request that FDA amend the 1994 TFM (Ref. 18). 
The submitted data were reviewed by FDA, and the following points were 
addressed:
    In vitro data included in the SDA/PCPC Petition do not clearly 
demonstrate the effectiveness of the antiseptic active ingredients or 
product formulations against viruses. Primarily, the in vitro results 
obtained may not predict the antiseptic's effectiveness against viruses 
on human skin. An evaluation of effectiveness against viruses on human 
skin would need to be supported by adequate in vivo studies. In most of 
the studies, the test conditions and results vary considerably. Also, 
most studies lacked vehicle and neutralization controls; this 
undermines the validity of the data and makes it difficult to evaluate 
the contribution of the antiseptic product in the reduction of the 
viral concentration.
    Clinical simulation studies included in the SDA/PCPC Petition were 
not adequately controlled to distinguish the antiviral effectiveness of 
the antiseptic and eliminate bias. These studies lacked proper controls 
and adequate statistical analyses. Most studies lacked either vehicle 
or placebo controls such as washing with plain soap and water. In the 
few studies in which a vehicle control was included, the advantage of 
the antiseptic product use was not demonstrated. Moreover, the use of 
plain soap and water was often found to be as or more effective than 
using the test antiseptic. Most studies also lacked proper 
documentation of neutralization and they were not randomized or 
blinded. Overall, the lack of adequate comparison controls rendered the 
submitted studies insufficient to demonstrate antiviral effectiveness.
    The SDA/PCPC Petition proposed using an enteric pathogen, Rotavirus 
Wa Type 30, and a respiratory pathogen, Rhinovirus Type 37, for testing 
antiseptic viral activity. After reviewing submitted data and current 
publications, FDA determined that viruses vary significantly in their 
susceptibility to antiseptics and that this variability makes it 
difficult to extrapolate the effectiveness results obtained from the 
proposed viruses to a broader range of viruses (Ref. 19).
    The SDA/PCPC Petition's proposed 2 log10 reduction of 
viral contamination as the criterion for determination of effectiveness 
is inadequate; viruses vary in their infectivity titers, and 2 
log10 titer reduction achieved in the proposed viruses may 
be irrelevant to other viral pathogens. We currently have no data to 
evaluate the significance of 2 log10 reduction of test 
viruses and how such reduction would relate to a reduced risk of viral 
infections. In addition, the 2 log10 reduction of viral 
titers was achieved in alcohol-based products, but in studies where 
soap and water were used, the virus reduction was in the range of 1 
log10. In conclusion, FDA determined that given these large 
variations, the clinical relevance of the proposed criterion for 
antiviral effectiveness was not supported by the data and may not be 
applicable to many viral pathogens. The surrogate measure of antiviral 
effectiveness would need to be validated and its significance should be 
supported by clinical data.
    FDA found the test methods proposed in the SDA/PCPC Petition 
inadequate to support a general antiviral indication; the proposed ASTM 
methods do not account for data variability, nor do they provide 
guidance on adequate study size and data analysis. Moreover, the 
studies submitted in support of the proposed methods are insufficient 
to demonstrate comparable results between the two ASTM methods proposed 
due to the small study size.
    In short, data reviewed by FDA are insufficient to support general 
antiviral labeling for antiseptic products including food handler 
antiseptics. Additional data that adequately demonstrate the antiviral 
effectiveness of antiseptic active ingredients and their product 
formulations are needed to properly address the antiviral activity of 
food handler antiseptics.

V. Data

    Data to support the effectiveness of several antiseptic active 
ingredients were also submitted to the FDA-1975-N-0012-0494 docket by 
the PCPC in response to the Consumer Wash Proposed Rule (Ref. 20). 
Comments received from the PCPC asserted that the data provided 
demonstrated effectiveness based on the industry's proposed standard of 
effectiveness for food handler antiseptic products. However, because 
FDA currently has insufficient information to determine what 
constitutes an adequate demonstration of effectiveness of antiseptic 
active ingredients intended for use in the food handler setting, an 
evaluation of the submitted data would be premature.

VI. Questions for Public Input

    Based on the history of food handler antiseptics and a review of 
our records and data received, we have determined that additional new 
data and information are needed to inform FDA on the safety and 
effectiveness of the active ingredients used in food handler 
antiseptics and drug products containing them. Thus, we are soliciting 
data and information that will help address the questions that follow.

A. Definition of Food Handler Antiseptics

    As discussed in section III, we view food handler antiseptics as a 
category that includes antiseptic products used in regulated settings 
where food is grown, harvested, produced, manufactured, processed, 
packed, transported, prepared, served, or consumed.
    In response to the questions that follow, FDA is seeking data and 
other information on defining food handler antiseptic products and any 
other information relevant to their definition.
     What are the categories of workers who might use the food 
handler antiseptic products?
     In what settings are food handler antiseptics used? What 
should be the boundaries (e.g., growth, harvest, production, 
manufacturing, processing, packaging, transportation, storage, 
preparation, service, and consumption) of regulated use of food handler 
antiseptics? Are there any additional details and information to be 
considered related to scope-of-use settings of food handler 
antiseptics?
     What types of antiseptic products are used by food 
handlers and what terms are used in the food industry to describe such 
products (e.g., wash, or leave-on products)?
     How frequently are food handler antiseptics used?

B. Active Ingredients for Food Handler Antiseptic Products

    An OTC drug is eligible for the OTC Drug Review if its conditions 
of use existed in the OTC drug marketplace on or before May 11, 1972 
(37 FR 9464), or if drug products with the same conditions of use have 
been marketed for a material time and extent such that they meet the 
requirements for eligibility under FDA's time and extent application 
regulation (Sec.  330.14 (21 CFR

[[Page 63174]]

330.14)). Conditions of use include, among others, active ingredient, 
dosage form and strength, route of administration, and specific OTC use 
or indication of the product (Sec.  330.14(a)).
    To determine eligibility for the OTC Drug Review, FDA typically 
must have actual product labeling or a facsimile of labeling that 
documents the conditions of marketing of a product prior to May 1972 
(21 CFR 330.10(a)(2)). FDA considers a drug that is ineligible for 
inclusion in the OTC monograph system to be a new drug that will 
require FDA approval under a new drug application (NDA) or an 
abbreviated new drug application (ANDA). Also, an active ingredient's 
ineligibility for evaluation under the OTC Drug Review for a specific 
indication does not affect its eligibility for evaluation for other 
indications under the OTC Drug Review.
    FDA's recognition of the potential eligibility of food handler 
antiseptic products for evaluation under the OTC Drug Review is 
relatively new. We expect that many of the antiseptic active 
ingredients found in products currently used by food handlers may not 
have been on the U.S. market when the OTC Drug Review was first 
established, or that it may be difficult to establish eligibility based 
on use at that time. It may be possible, however, that some of the 
active ingredients currently used in these products have been in use in 
or outside of the United States for a material time and extent such 
that they meet the requirements for eligibility under FDA's time and 
extent application regulation (Sec.  330.14). We are, therefore, 
seeking information about food handler antiseptic active ingredients 
and the products in which they are found.
    For the active ingredients used in food handler antiseptics, we ask 
for submission of the following information:
     What are the active ingredients currently used in food 
handler antiseptic products?
     How long and to what extent (e.g., number of units or 
volume sold) have currently marketed active ingredients been in the 
marketplace inside and/or outside of the U.S. market?
     What active ingredients were in products on the market for 
food handler use prior to 1972, and what evidence of eligibility for 
evaluation for use in food handler antiseptic products under the OTC 
Drug Review is available for these active ingredients?
     What other information relevant to the eligibility of 
active ingredients for use in food handler antiseptic products is 
available?

C. Safety

    In the consumer antiseptic wash and rubs, and in the health care 
antiseptics rulemakings for OTC topical antiseptic active ingredients, 
the following data are required to determine the safety of these active 
ingredients as part of the risk-to-benefit evaluation of the product's 
use (81 FR 61106 at 61117, 81 FR 42912, 80 FR 25166):

 Animal toxicology data
 Carcinogenicity
    [cir] Dermal and Oral Exposure
 Absorption, Distribution, Metabolism & Excretion
    [cir] Dermal and Oral Exposure
 Developmental & Reproductive Toxicology
 Hormonal Effects
 Human absorption data from a Maximal Usage Trial
 Development of Antimicrobial Resistance

    To better assess the criteria for a determination of the safety of 
active ingredients used in food handler antiseptics, we welcome 
information to answer the following questions and any other issues 
related to evaluating the safety of these products:
     Should the data required to demonstrate the safety of 
active ingredients intended for use in food handler antiseptic products 
be the same as the safety criteria for active ingredients intended for 
use in consumer antiseptic and health care antiseptic products?
     If antiseptic hand rubs or leave-on products are used, the 
presence of residual antiseptic products on the hands of food handler 
professionals may result in indirect consumer exposure (i.e., ingestion 
of residual antiseptic due to transfer of such residues from food 
handlers to food contact surfaces and/or food). Are additional studies 
required to address this concern?
     If additional studies are required to address indirect 
consumer exposure to antiseptic ingredients, what should they be?
     On a daily basis, how frequently do food handlers use food 
handler antiseptic products in the workplace? Are there any 
requirements related to the frequency of using food handler antiseptics 
in the workplaces where food is handled (e.g., produce safety 
standards)?
     What data are available to support the long-term safety of 
the active ingredients of these products (e.g., oral and dermal 
carcinogenicity studies)?
     How should the potential for antimicrobial resistance to 
these active ingredients be assessed?
     What data are available regarding antimicrobial resistance 
for these products, and how should the potential of food handler 
antiseptics' use with potential emergence of antimicrobial resistance 
be assessed?
     What other issues should be taken into consideration to 
support evaluation of the safety of food handler antiseptic products?

D. Effectiveness

    New information on potential risks posed by the long-term use of 
certain antiseptic active ingredients prompted us to reconsider the 
data necessary to determine that active ingredients used in consumer or 
health care antiseptic products are generally recognized as safe and 
effective for their intended use. Based on new data as well as on input 
provided during the Nonprescription Drugs Advisory Committee meeting of 
March 2005, we have reevaluated the effectiveness data needed for 
consumer and health care antiseptic active ingredients (78 FR 76444, 81 
FR 42912, 80 FR 25166).
    For topical antiseptics used both in consumer and health care 
settings, the following studies in table 3 are required or proposed to 
be required to demonstrate effectiveness.

  Table 3--Effectiveness Data Requirements for OTC Consumer and Health
                            Care Antiseptics
------------------------------------------------------------------------
         Required tests                In vitro             In vivo
------------------------------------------------------------------------
Consumer Antiseptic Washes......   Time-kill   Clinical
                                   Assay *             Outcome Studies
                                                      [cir] Evaluates
                                                       the effect of
                                                       antiseptic use in
                                                       decreasing the
                                                       incidence of
                                                       infections.
Consumer Antiseptic Rubs........   Minimal     Clinical
                                   Bactericidal        Simulation
                                   Concentration *.    Studies
                                   Time-kill  [cir] Measures the
                                   Assay *..           reduction of
                                                       bacteria on skin
                                                       due to antiseptic
                                                       use.

[[Page 63175]]

 
Health Care Antiseptics.........   Minimal     Clinical
                                   Bactericidal        Simulation
                                   Concentration **.   Studies
                                   Time-kill  [cir] Measures
                                   Assay **..          reduction of
                                                       bacteria on skin
                                                       due to antiseptic
                                                       use
                                                      [cir] Evaluates
                                                       the persistence
                                                       of bactericidal
                                                       activity by
                                                       measuring
                                                       bacteria on skin
                                                       6 hours post
                                                       product
                                                       application for
                                                       surgical hand
                                                       scrub and patient
                                                       preoperative skin
                                                       preparation
                                                       antiseptic
                                                       products.
------------------------------------------------------------------------
* Test organisms are representative of infections occurring in consumer
  settings.
** Test organisms are representative of infections occurring in health
  care settings.

    To assess the effectiveness criteria for food handler antiseptic 
active ingredients, as well as the testing methods necessary to 
demonstrate effectiveness, we are interested in gathering information 
on the following questions related to in vivo testing:
     What studies should be used for a demonstration of 
efficacy in vivo?
     Should effectiveness be established through clinical 
outcome study (e.g., show a statistically significant reduction in 
food-borne illness associated with the use of a food handler antiseptic 
in comparison to vehicle or washing with plain soap and water)?
     Do the data support use of a simulation model as a 
surrogate for effectiveness, such as bacterial log reduction on the 
hands of a food handler or on food following use of the product? What 
data can be used to link a simulation model to clinical outcomes 
related to food-borne illness (i.e., model validation)?
     If the bacterial log reduction method for assessing 
effectiveness is used, what should be the required log reduction 
criteria for food handler antiseptics and what are the data that 
support such log reduction criteria?
     Are there any other criteria, such as reduction of 
transmission of microorganisms after use of food handler antiseptics 
that should be considered to determine the effectiveness of food-
handler antiseptics?
     The Health Care Antiseptics Final Rule requires that for 
surgical hand scrub and patient preoperative skin preparation 
indications, the antiseptic activity of the product must be both 
immediate and persistent (82 FR 60474 at 60488). The effectiveness 
criteria for such products require that, in addition to the immediate 
antibacterial activity demonstrated by log reduction, bacterial growth 
is also suppressed for 6 hours after product use. Should food handler 
antiseptics' action be persistent?
     How are food handler antiseptics used in food handler 
settings? Are they used according to the manufacturer's directions of 
use or according to establishment-based standard operating procedures?
     Given the importance of a consistently effective product, 
should the dose of a food handler antiseptic vary with the product or 
should a standard dose be required?
     For the same reasons noted earlier, should the recommended 
length of time and/or frequency of use of the antiseptic product be 
consistent and standardized for all food handler antiseptics?
    We would also like information as it relates to the following 
questions on in vitro testing:
     How should the products demonstrate effectiveness in 
vitro?
     What in vitro test methods should be used, e.g., minimal 
bactericidal concentration and Time-kill Assay?
     What organisms should food handler antiseptics be required 
to demonstrate effectiveness against? Should viruses and other 
organisms (e.g., protozoa) be tested as well as bacteria?
     Should the test methods address the effects of organic 
load (i.e., high fat content, blood, or other materials) and dirt or 
soil on the effectiveness of food handler antiseptics?
     What other variables could impact the effectiveness of 
food handler antiseptics besides organic load, and how should the 
effect of such variables be taken into consideration during testing?
     How quickly must these products demonstrate effectiveness?
     At what specific time point(s) should effectiveness be 
measured?

VII. References

    The following references marked with an asterisk (*) are on display 
at the Dockets Management Staff (see ADDRESSES) and are available for 
viewing by interested persons between 9 a.m. and 4 p.m., Monday through 
Friday; they also are available electronically at https://www.regulations.gov. References without asterisks are not on public 
display at https://www.regulations.gov because they have copyright 
restriction. Some may be available at the website address, if listed. 
References without asterisks are available for viewing only at the 
Dockets Management Staff. 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.

*1. Comment submitted in Docket No. FDA-1975-N-0012-0111, Volume 1 
of 4, Part A. Available at https://www.regulations.gov/document?D=FDA-1975-N-0012-0111.
*2. Comment submitted in Docket No. FDA-1975-N-0012-0085. Available 
at https://www.regulations.gov/document?D=FDA-1975-N-0012-0085.
*3. Comment submitted in Docket No: FDA-1975-N-0012-0493. Available 
at https://www.regulations.gov/document?D=FDA-1975-N-0012-0493.
*4. FDA, ``HACCP Principles & Application Guidelines.'' Available at 
https://www.fda.gov/Food/GuidanceRegulation/HACCP/ucm2006801.htm. 
Accessed on May 15, 2018.
*5. Comment submitted in Docket No. FDA-1975-N-0012-0081. Available 
at https://www.regulations.gov/document?D=FDA-1975-N-0012-0081.
6. AOAC International ``AOAC 955.16-1955, Chlorine (available) in 
Disinfectants. Germicidal Equivalent Concentration.'' Available at 
http://www.aoacofficialmethod.org/index.php?main_page=product_info&cPath=1&products_id=1578. Accessed 
on May 15, 2018.
7. Boyce, J.M. and D. Pittet, ``Guideline for Hand Hygiene in 
Health-Care Settings; Recommendations of the Healthcare Infection 
Control Practices Advisory Committee and the HICPAC/SHEA/APIC/IDSA 
Hand Hygiene Task Force,'' Morbidity and Mortality Weekly Report, 
51:1-45, 2002.
8. Edmonds, S.L., R.R. McCormack, S.S Zhou, et al., ``Hand Hygiene 
Regimens for the Reduction of Risk in Food Service Environments,'' 
Journal of Food Protection, 75(7):1303-1309, 2012.
9. Chen Y., K.M. Jackson, F.P. Chea, et al., ``Quantification and 
Variability Analysis of Bacterial Cross-Contamination Rates in 
Common Food Service Tasks,'' Journal of Food Protection 64(1): p. 
72-80, 2001.

[[Page 63176]]

*10. FDA, Food Code 2017 2-301.12. Available at https://www.fda.gov/downloads/Food/GuidanceRegulation/RetailFoodProtection/FoodCode/UCM595140.pdf. Accessed on May 15, 2018.
*11. ``Diseases Transmitted through the Food Supply: Pathogens 
Transmitted by Food Contaminated by Infected Person Who Handle Food, 
and Modes of Transmission of Such Pathogens.'' Available at https://www.cdc.gov/foodsafety/pdfs/pathogens-by-food-handlers-508c.pdf.
*12. Gould, H., et al. ``Surveillance for Foodborne Disease 
Outbreaks-United States 1998-2008,'' Morbidity and Mortality Weekly 
Report, Surveillance Summaries 62 (2).
*13. Transcript of the October 20, 2005, Nonprescription Drugs 
Advisory Committee Meeting. Available at http://wayback.archive-it.org/7993/20170404055923/https:/www.fda.gov/ohrms/dockets/ac/05/transcripts/2005-4184T1.pdf. Accessed May 15, 2018
*14. Comment submitted in Docket No. FDA-1975-N-0012-0037. Available 
at https://www.regulations.gov/searchResults?rpp=25&po=0&s=FDA-1975-N-0012-0037&fp=true&ns=true. Accessed May 15, 2018.
*15. Comment submitted in Docket No. FDA-1975-N-0012-0038. Available 
at https://www.regulations.gov/searchResults?rpp=25&po=0&s=FDA-1975-N-0012-0038&fp=true&ns=true.
16. ASTM International, ``ASTM E2720, Standard Practice for 
Evaluation of Effectiveness of Decontamination Procedures for Air-
Permeable Materials when Challenged with Biological Aerosols 
Containing Human Pathogenic Viruses.'' Available at https://www.astm.org/search/fullsite-search.html?query=E2720&toplevel=products-and-services&sublevel=standards-and-publications. Accessed on May 15, 
2018.
17. ASTM International, ``ASTM E1052, Standard Test Method to Assess 
the Activity of Microbicides against Viruses in Suspension.'' 
Available at https://www.astm.org/search/fullsite-search.html?query=e1052&resStart=0&resLength=10&toplevel=products-and-services&sublevel=standards-and-publications&. Accessed on May 
15, 2018.
*18. Petition Denial Response Letter from FDA to PCPC and SDA. No. 
FDA-1975-0012-0042. Available at https://www.regulations.gov/document?D=FDA-1975-N-0012-0042. Accessed on May 15, 2018.
19. Steinman, J., ``Some Principles of Virucidal Testing,'' Journal 
of Hospital Infection, 48:S15-S17, 2001.
*20. Comment submitted in Docket No. FDA-1975-N-0012-0494. Available 
at https://www.regulations.gov/document?D=FDA-1975-N-0012-0494.

    Dated: December 3, 2018.
Leslie Kux,
Associate Commissioner for Policy.
[FR Doc. 2018-26561 Filed 12-6-18; 8:45 am]
BILLING CODE 4164-01-P



                                             63168                        Federal Register / Vol. 83, No. 235 / Friday, December 7, 2018 / Notices

                                             DEPARTMENT OF HEALTH AND                                by mail/hand delivery/courier (for                    and Information.’’ Received comments,
                                             HUMAN SERVICES                                          written/paper submissions) will be                    those filed in a timely manner (see
                                                                                                     considered timely if they are                         ADDRESSES), will be placed in the docket
                                             Food and Drug Administration                            postmarked or the delivery service                    and, except for those submitted as
                                                                                                     acceptance receipt is on or before that               ‘‘Confidential Submissions,’’ publicly
                                             [Docket No. FDA–2018–N–3458]
                                                                                                     date.                                                 viewable at https://www.regulations.gov
                                             Food Handler Antiseptic Drug                                                                                  or at the Dockets Management Staff
                                                                                                     Electronic Submissions
                                             Products for Over-the-Counter Human                                                                           between 9 a.m. and 4 p.m., Monday
                                                                                                        Submit electronic comments in the                  through Friday.
                                             Use; Request for Data and Information
                                                                                                     following way:                                           • Confidential Submissions—To
                                             AGENCY:    Food and Drug Administration,                   • Federal eRulemaking Portal:                      submit a comment with confidential
                                             HHS.                                                    https://www.regulations.gov. Follow the               information that you do not wish to be
                                             ACTION:Notice; request for data and                     instructions for submitting comments.                 made publicly available, submit your
                                             information.                                            Comments submitted electronically,                    comments only as a written/paper
                                                                                                     including attachments, to https://                    submission. You should submit two
                                             SUMMARY:     The Food and Drug                          www.regulations.gov will be posted to                 copies total. One copy will include the
                                             Administration (FDA or Agency) is                       the docket unchanged. Because your                    information you claim to be confidential
                                             announcing the establishment of a                       comment will be made public, you are                  with a heading or cover note that states
                                             docket to obtain data, information, and                 solely responsible for ensuring that your             ‘‘THIS DOCUMENT CONTAINS
                                             comments that will assist the Agency in                 comment does not include any                          CONFIDENTIAL INFORMATION.’’ The
                                             assessing the safety and effectiveness of               confidential information that you or a                Agency will review this copy, including
                                             food handler antiseptic drug products                   third party may not wish to be posted,                the claimed confidential information, in
                                             (i.e., antiseptic hand washes or rubs                   such as medical information, your or                  its consideration of comments. The
                                             intended for use in food handling                       anyone else’s Social Security number, or              second copy, which will have the
                                             settings) for over-the-counter (OTC)                    confidential business information, such               claimed confidential information
                                             human use. We are asking                                as a manufacturing process. Please note               redacted/blacked out, will be available
                                             manufacturers of food handler                           that if you include your name, contact                for public viewing and posted on
                                             antiseptics and other interested parties                information, or other information that                https://www.regulations.gov. Submit
                                             to submit safety and effectiveness data                 identifies you in the body of your                    both copies to the Dockets Management
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                                             marketed for use by food handlers in                    posted on https://www.regulations.gov.                contact information to be made publicly
                                             commercial or regulated environments                       • If you want to submit a comment                  available, you can provide this
                                             where growth, harvest, production,                      with confidential information that you                information on the cover sheet and not
                                             manufacturing, processing, packaging,                   do not wish to be made available to the               in the body of your comments and you
                                             transportation, storage, preparation,                   public, submit the comment as a                       must identify this information as
                                             service, or consumption of food occurs.                 written/paper submission and in the                   ‘‘confidential.’’ Any information marked
                                             We also are inviting comments and                       manner detailed (see ‘‘Written/Paper                  as ‘‘confidential’’ will not be disclosed
                                             requesting data on definitions,                         Submissions’’ and ‘‘Instructions’’). We               except in accordance with 21 CFR 10.20
                                             eligibility, current conditions of use of               note however, that the OTC drug                       and other applicable disclosure law. For
                                             food handler antiseptics; safety and                    monograph process is a public process;                more information about FDA’s posting
                                             effectiveness criteria; as well as test                 and, the Agency intends to consider                   of comments to public dockets, see 80
                                             methods to demonstrate the                              only non-confidential material that is                FR 56469, September 18, 2015, or access
                                             effectiveness of food handler                           submitted to the docket in response to                the information at: https://www.gpo.gov/
                                             antiseptics. In general, we are seeking                 this request for information, or that is              fdsys/pkg/FR-2015-09-18/pdf/2015-
                                             input on current use conditions of                      otherwise publicly available in                       23389.pdf.
                                             antiseptics used in the food handler                    evaluating if a relevant ingredient is                   Docket: For access to the docket to
                                             setting and recommended testing to                      generally recognized as safe and                      read background documents or the
                                             establish the effectiveness of OTC food                 effective (GRAS/GRAE).                                electronic and written/paper comments
                                             handler antiseptics. This information                   Written/Paper Submissions                             received, go to https://
                                             and data will inform FDA’s ongoing                                                                            www.regulations.gov and insert the
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                                             www.regulations.gov electronic filing                   must include the Docket No. FDA–
                                             system will accept comments until                       2018–N–3458 for ‘‘Food Handler                        Table of Contents
                                             11:59 p.m. Eastern Time at the end of                   Antiseptic Drug Products for Over-the-                I. Introduction
                                             February 5, 2019. Comments received                     Counter Human Use; Request for Data                   II. Table of Abbreviations/Commonly Used



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                                                                          Federal Register / Vol. 83, No. 235 / Friday, December 7, 2018 / Notices                                                 63169

                                                   Acronyms in This Document                         submitted in support of establishing                        (56 FR 33644). The remaining categories
                                             III. Background                                         such a category. However, we believe                        of topical antimicrobials were addressed
                                                A. Background on Topical Antiseptics                 more data and information are needed                        in the 1994 TFM for healthcare
                                                B. Regulatory History of Food Handler                                                                            antiseptic drug products (59 FR 31402,
                                                                                                     to assist the Agency in evaluating the
                                                   Antiseptics
                                             IV. Proposed Effectiveness Models and                   safety and effectiveness criteria                           June 17, 1994). The 1994 TFM covered:
                                                   Indications for Food Handler Antiseptics          appropriate for food handler antiseptics.                   (1) Antiseptic hand wash (i.e., consumer
                                                A. Health Care Continuum Model                                                                                   hand wash); (2) health care personnel
                                                                                                     II. Table of Abbreviations/Commonly                         hand wash; (3) patient preoperative skin
                                                B. FDA Comments on the Proposed Health
                                                   Care Continuum Model
                                                                                                     Used Acronyms in This Document                              preparation; and (4) surgical hand scrub
                                                C. Inclusion of Antiviral Indications in             Abbreviation/                                               (59 FR 31402 at 31442).
                                                   Food Handler Antiseptics                                                           What it means                 The 1994 TFM did not distinguish
                                                                                                       acronym
                                                D. FDA Response on the Proposed Model                                                                            between consumer antiseptic washes
                                                   for Antiviral Indications of the                  ANPR ..........      Advance Notice of Proposed Rule.
                                                                                                     AOAC ..........      Association of Official Analytical     and rubs and health care antiseptic
                                                   Antiseptic Products
                                             V. Data                                                                        Chemists (now ‘‘AOAC Inter-          washes and rubs. In the 2013 Consumer
                                             VI. Questions for Public Input                                                 national’’).                         Wash Proposed Rule, we proposed that
                                                                                                     ASTM ..........      American Society for Testing and       our evaluation of OTC antiseptic drug
                                                A. Definition of Food Handler Antiseptics                                   Materials (now ‘‘ASTM Inter-
                                                B. Active Ingredients for Food Handler                                      national’’).
                                                                                                                                                                 products be further subdivided into
                                                   Antiseptic Products                               ATCC ..........      American Type Culture Collection.      health care antiseptics and consumer
                                                C. Safety                                            CDC ............     Centers for Disease Control and Pre-   antiseptics (78 FR 76444 at 76446).
                                                D. Effectiveness                                                            vention.                             These categories are distinct based on
                                             VII. References                                         FDA .............    Food and Drug Administration.
                                                                                                     FD&C Act ....        Food Drug and Cosmetic Act.
                                                                                                                                                                 the proposed use setting, target
                                             I. Introduction                                         FR ...............   Federal Register.                      population, and the fact that each
                                                                                                     GRAS/GRAE            Generally recognized as safe and ef-   setting presents a different level of risk
                                                We are seeking public input regarding                                       fective.                             for infection. In the 2013 Consumer
                                             the safety and effectiveness of food                    HACCP ........       Hazard analysis and critical control   Wash Proposed Rule (78 FR 76444 at
                                             handler antiseptics to inform FDA’s                                            point.
                                                                                                     HCCM .........       Health Care Continuum Model.           76446–76447) and the 2016 Consumer
                                             ongoing review of OTC antiseptic drug                   MIC ..............   Minimum Inhibitory Concentration       Rub Proposed Rule (81 FR 42912 at
                                             products and the Agency’s review of the                                        Testing.                             42915–42916), we proposed that our
                                             active ingredients used in these                        OTC .............    Over-the-counter.                      evaluation of OTC consumer antiseptic
                                             products in the food handler setting.                   PCPC ..........      Personal Care Products Council.
                                                                                                     RFI ..............   Request for information.               drug products be further subdivided
                                             The Agency seeks data and information                   SDA .............    Soap and Detergent Association.        into consumer washes (products that are
                                             about these topical antiseptics and how                 TFM .............    Tentative final monograph.             rinsed off with water, including hand
                                             the active ingredients should be tested                 U.S.C. ..........    United States Code.                    washes and body washes) and consumer
                                             and evaluated for safety and                                                                                        rubs (products that are not rinsed off
                                             effectiveness.                                          III. Background                                             after use, including hand rubs and
                                                This Request for Information (RFI)                                                                               antibacterial wipes).
                                             covers only OTC food handler                            A. Background on Topical Antiseptics
                                             antiseptics that are intended for use by                   This RFI is part of FDA’s ongoing                        B. Regulatory History on Food Handler
                                             food handlers in commercial or                          evaluation of the safety and                                Antiseptics
                                             regulated environments where growth,                    effectiveness of OTC drug products                             In the 1994 TFM, FDA also identified
                                             harvest, production, manufacturing,                     marketed in the United States on or                         a new category of antiseptics for use by
                                             processing, packaging, transportation,                  before May 11, 1972 (OTC Drug                               the food industry, which historically
                                             storage, preparation, service, or                       Review). The OTC topical antimicrobial                      had been marketed for use by food
                                             consumption of food occurs. This RFI                    rulemaking has had a broad scope,                           handlers in federally inspected meat
                                             does not cover consumer antiseptic                      encompassing drug products that may                         and poultry processing plants, and other
                                             washes (78 FR 76444, December 17,                       contain the same active ingredients, but                    food handling establishments (59 FR
                                             2013; 81 FR 61106, September 6, 2016);                  that are labeled and marketed for                           31402 at 31440). As stated in the 2016
                                             health care antiseptics (80 FR 25166,                   different intended uses. In 1974, the                       Consumer Wash Final Rule (81 FR
                                             May 1, 2015; 82 FR 60474, December 20,                  Agency published an advance notice of                       61106 at 61109; September 6, 2016) and
                                             2017); consumer antiseptic rubs (81 FR                  proposed rulemaking (ANPR) for topical                      the 2017 Health Care Antiseptic Final
                                             42912, June 30, 2016); or antiseptics                   antimicrobial products that                                 Rule (82 FR 60474 at 60483, December
                                             identified as ‘‘first aid antiseptics’’ in              encompassed products for both health                        20, 2017), we classify the food handler
                                             the 1991 First Aid tentative final                      care and consumer use. The 1974 ANPR                        antiseptics as separate and distinct from
                                             monograph (TFM) (56 FR 33644, July                      covered seven different intended uses                       the other OTC topical antiseptics. Based
                                             22, 1991).                                              for these products: (1) Antimicrobial                       on FDA’s current categorization of other
                                                FDA has tentatively concluded that,                  soap; (2) health care personnel hand                        OTC antiseptic products and given the
                                             based on FDA’s current categorization of                wash; (3) patient preoperative skin                         additional issues raised by the public
                                             other antiseptic products and                           preparation; (4) skin antiseptic; (5) skin                  health consequences of foodborne
                                             considering factors that may include                    wound cleanser; (6) skin wound                              illness, differences in frequency and
                                             specific microorganisms of concern in                   protectant; and (7) surgical hand scrub                     type of use, and contamination of the
                                             food handling environments as well as                   (39 FR 33103 at 33140, September 13,                        hands by dirt, grease and other oils, we
                                             the safety of repeated-exposure use                     1974). FDA subsequently identified skin                     believe that a separate evaluation of
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                                             patterns, food handler antiseptics may                  antiseptics, skin wound cleansers, and                      food handler antiseptics is warranted.
                                             differ from antiseptic products                         skin wound protectants as antiseptics                       Food handler antiseptics include
                                             addressed in other rulemakings. There                   used primarily by consumers for first                       antiseptic products labeled for use in
                                             has been support from industry and                      aid use and referred to them collectively                   commercial or other regulated settings
                                             interested parties for an OTC food                      as ‘‘first aid antiseptics.’’ FDA published                 where food is grown, harvested,
                                             handler antiseptic category, and some                   a separate TFM covering the first aid                       manufactured, packed, held,
                                             information and data have been                          antiseptics in the 1991 First Aid TFM                       transported, prepared, served, or


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                                             63170                        Federal Register / Vol. 83, No. 235 / Friday, December 7, 2018 / Notices

                                             consumed. The intended use of these                           which refers to the effectiveness,                                 handler antiseptic hand washes. The
                                             products (the reduction of                                    effectiveness testing requirements, and                            comments that addressed food handler
                                             microorganisms on the skin for the                            labeling of antiseptic products                                    antiseptic hand washes generally agreed
                                             purpose of preventing disease caused by                       discussed in the 1994 TFM, including                               that they should be evaluated in the
                                             transfer of microorganism from hands to                       the antiseptic hand wash products used                             review of antiseptic products. FDA also
                                             foods) makes them drugs under the                             by food handlers (Refs. 1 and 2). We                               received comments and a citizen
                                             provisions of the Federal, Food, Drug,                        also received comments in response to                              petition proposing an effectiveness
                                             and Cosmetic Act (FD&C Act), which                            the 1994 TFM regarding antiviral testing                           model for antiseptic products in general,
                                             defines a drug to include an article                          for antiseptic products used by food                               including food handler antiseptics, as
                                             intended for use in the diagnosis, cure,                      handlers (59 FR 31402).
                                                                                                                                                                              well as a proposal on specific
                                             mitigation, treatment, or prevention of                          FDA also received comments
                                                                                                           pertaining to food handler antiseptics in                          indications for food handler antiseptics
                                             disease in man (section 201(g)(1) of the                                                                                         (Refs. 1, 2, 33, and 14). We describe and
                                             FD&C Act; 21 U.S.C. 321(g)(1)).                               response to the 2013 Consumer
                                                                                                           Antiseptic Wash proposed rule. One of                              respond to the proposed model and
                                                FDA has determined that the safety                         these comments was submitted from the                              indications in sections IV.A. through
                                             and effectiveness of active ingredients                       Personal Care Products Council (PCPC)                              IV.D.
                                             intended for use in food handler                              and American Cleaning Institute in the
                                             antiseptic products needed to be                                                                                                 A. Health Care Continuum Model
                                                                                                           form of a citizen petition (FDA–1975–
                                             demonstrated, and we proposed to                              N–0012–0493) (Ref. 3) requesting that                                 A comment from two trade
                                             include an evaluation of the safety and                       FDA, among other things, define food                               associations proposed regulating food
                                             effectiveness of these active ingredients                     handler antiseptic hand washes or rubs                             handler antiseptics as part of the HCCM
                                             in the rulemaking for OTC topical                             as antiseptic products for use in
                                             antimicrobial drug products (59 FR                                                                                               (Ref. 1). This regulatory model included
                                                                                                           commercial establishments and other                                proposed labeling, final formulation
                                             31402 at 31440). In the 1994 TFM, we                          regulated settings, establish food
                                             requested relevant data and information                                                                                          testing requirements, and effectiveness
                                                                                                           handler antiseptic hand washes as a                                testing criteria. The proposed testing
                                             to assist in characterizing this category                     separate category, and consider food
                                             of food handler antiseptics (59 FR 31402                                                                                         included in vitro and in vivo testing that
                                                                                                           handler antiseptic products as
                                             at 31440), but we did not discuss what                                                                                           is modeled after FDA’s previously
                                                                                                           professional use products similar to
                                             data would be necessary to support a                          health care antiseptics.                                           proposed testing for OTC health care
                                             GRAS/GRAE determination. In response                                                                                             antiseptic drug products (Ref. 1). Table
                                             to the 1994 TFM, we received public                           IV. Proposed Effectiveness Models and                              1 summarizes the HCCM’s proposed in
                                             comments pertaining to food handler                           Indications for Food Handler                                       vitro and in vivo testing and other
                                             antiseptic hand washes (see section IV),                      Antiseptics                                                        effectiveness criteria for food handler
                                             including an industry proposal, the                             In response to the 1994 TFM, FDA                                 antiseptics.
                                             Health Care Continuum Model (HCCM),                           received comments pertaining to food

                                                                   TABLE 1—SUMMARY OF INDUSTRY PROPOSED TESTING OF FOOD HANDLER ANTISEPTICS
                                                                                                                     [Health Care Continuum Model]

                                                                                                                         Test organisms
                                                 Proposed test method                                                                                                                                        Efficacy criteria
                                                                                                     (American type culture collection strain number (ATCC))

                                             Establish in vitro spectrum of        Candida albicans. (ATCC 10231). * .............................................................................      None Stated.
                                               antimicrobial activity of ac-       Enterobacter cloacae. (ATCC 13047).
                                               tive ingredient (Minimum            Entercoccus faecalis. (ATCC 19433).
                                               inhibitory concentration            Escherichia coli. (ATCC 25922). *
                                               testing (MIC)).                     Klebsiella pneumoniae (ATCC 10031).
                                                                                   Listeria monocytogenes (ATCC 7644).*
                                                                                   Proteus mirabilis (ATCC 7002)..
                                                                                   Pseudomonas aeruginosa (ATCC 9027)..
                                                                                   Pseudomonas stutzeri (ATCC 17588)..
                                                                                   Salmonella choleraesuis (ATCC 10708).*
                                                                                   Salmonella enteritidis (ATCC 13076).*
                                                                                   Salmonella typhi (ATCC 6539).*
                                                                                   Salmonella typhimurium (ATCC 11311).*
                                                                                   Shigella dysenteraiae (ATCC 13313).
                                                                                   Shigella sonnei (ATCC 11060).*
                                                                                   Staphylococcus aureus (ATCC 6538).*
                                                                                   Streptococcus pyogenes (ATCC 19615).*
                                             Establish in vitro spectrum of        Escherichia coli (ATCC 25922). * .................................................................................   None Stated.
                                               antimicrobial activity of           Klebsiella pneumoniae. (ATCC 10031).
                                               end-use formulation (MIC).          Listeria monocytogenes. (ATCC 7644). *
                                                                                   Pseudomonas stutzeri. (ATCC 17588).
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                                                                                   Salmonella choleraesuis (ATCC 10708).*
                                                                                   Salmonella enteritidis (ATCC 13076).*
                                                                                   Salmonella typhi (ATCC 6539).*
                                                                                   Salmonella typhimurium (ATCC 11311).*
                                                                                   Shigella sonnei (ATCC 11060).*
                                                                                   Staphylococcus aureus (ATCC 6538).*




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                                                                          Federal Register / Vol. 83, No. 235 / Friday, December 7, 2018 / Notices                                                                          63171

                                                          TABLE 1—SUMMARY OF INDUSTRY PROPOSED TESTING OF FOOD HANDLER ANTISEPTICS—Continued
                                                                                                                     [Health Care Continuum Model]

                                                                                                                         Test organisms
                                                 Proposed test method                                                                                                                                         Efficacy criteria
                                                                                                     (American type culture collection strain number (ATCC))

                                             Establish broad spectrum              Escherichia coli (ATCC 11229) ....................................................................................   1 minute: 1 log10 reduction
                                               and fast acting claims for          Klebsiella pneumoniae (ATCC 10031).                                                                                  5 minutes: 2 log10 reduction
                                               formulations (In vitro Time         Listeria monocytogenes (ATCC 7644).*                                                                                 Must meet criteria for 4 of 5
                                               Kill Test).                         Salmonella typhi (ATCC 6539).*                                                                                         strains.
                                                                                   Staphylococcus aureus (ATCC 6538)
                                             General Use Hand Wash                 Serratia marcescens (ATCC 14756) or .......................................................................          1st wash 1.5 log10 reduc-
                                              Method (Formulation).                Escherichia coli (ATCC 11229)                                                                                          tion.
                                                                                                                                                                                                        5th wash: 2 log10 reduction.
                                             American Society for Testing          Serratia marcescens (ATCC 14756) or .......................................................................          Rubs: 2 log10 reduction.
                                              and Materials International          Escherichia coli (ATCC 11229).
                                              (ASTM) Hand Rub Method
                                              (Formulation).
                                                * Organisms included in the Hazard Analysis and Critical Control Point Principles and Application Guidelines (Ref. 4).


                                                The HCCM proposal explained that                           available chlorine be a strict                                     cleaning compound in a hand washing
                                             the ATCC strains recommended for in                           requirement for food handler antiseptic                            sink (Ref. 10). In the method for in vivo
                                             vitro testing were chosen to represent a                      products (Ref. 5).                                                 efficacy testing proposed in the HCCM,
                                             broad spectrum of bacteria that ‘‘present                                                                                        contact times vary from 30 seconds to 5
                                                                                                           B. FDA Comments on the Proposed
                                             a challenge to antisepsis’’ and are the                                                                                          minutes. These timeframes do not
                                                                                                           Health Care Continuum Model
                                             principal foodborne pathogens and                                                                                                reflect the hand cleaning procedures
                                             contaminants. The model also proposed                            FDA identified several issues in the                            recommended in the Food Code. The
                                             the use of clinical simulation studies to                     proposed HCCM. The use conditions of                               contact times used in effectiveness
                                             demonstrate the effectiveness of final                        food handler antiseptics vary widely.                              testing should be appropriately related
                                             formulations that rely on the reduction                       Heavily soiled items are common in                                 to reasonable real-life conditions of use,
                                             of the same surrogate organisms that                          food preparation and food handling                                 as reflected in product labeling. We are
                                             historically have been used to                                settings, and in general, antiseptic                               interested in comments on appropriate
                                             demonstrate the effectiveness of health                       products are considered to be less                                 contact times for in vivo effectiveness
                                             care personnel and antiseptic hand                            effective in soiled hands (Ref. 7).                                testing.
                                             washes. More specifically, two protocols                      Studies simulating moderate and
                                                                                                                                                                                 The HCCM proposal also requires the
                                             were proposed for clinical simulation                         heavily soiled hand conditions showed
                                                                                                                                                                              demonstration of an antiseptic’s
                                             studies: (1) A General Hand Wash                              decreased efficacy of antiseptic
                                                                                                                                                                              effectiveness after multiple hand washes
                                             Method for the demonstration of fast-                         products, suggesting that the organic
                                                                                                                                                                              or rubs and proposes effectiveness
                                             acting and persistent activity of                             load, i.e., the amount of fat, grease,
                                                                                                                                                                              criteria that range from 1.5 to 2 log10
                                             products used with water; and (2) an                          blood, and debris associated with food
                                                                                                           handling, affects the efficacy of                                  reduction of the test organism. Given
                                             ASTM method for the evaluation of                                                                                                the manner in which food handler
                                             alcohol-based hand rub formulations to                        antiseptic products (Ref. 8). The transfer
                                                                                                           of bacteria from contaminated food                                 antiseptics are currently used (i.e., short
                                             demonstrate the fast-acting                                                                                                      contact times with use of antiseptics,
                                             antimicrobial activity of leave-on                            items and surfaces to hands may also be
                                                                                                           affected by the organic load contained                             high bacterial loads, and expectations
                                             products. The proposal also provides                                                                                             that these products be effective after a
                                                                                                           in such items (Ref. 9). Use conditions
                                             log-reduction effectiveness criteria that                                                                                        single use), the proposed in vivo
                                                                                                           vary in both organic and bacterial load,
                                             are similar to the effectiveness criteria                                                                                        effectiveness testing does not appear to
                                                                                                           resulting in moderate to high levels of
                                             for health care personnel hand                                                                                                   reflect food handler antiseptic use
                                                                                                           bacterial contamination. These
                                             antiseptics proposed in the 1994 TFM                                                                                             situations and raises the question of
                                                                                                           differences are, in some cases, related to
                                             (59 FR 31402 at 31444) (see table 1). The                                                                                        what criteria best demonstrate the
                                                                                                           the setting in which a product is used.
                                             Soap and Detergent Association (SDA)                                                                                             effectiveness of food handler
                                                                                                           The differences may be related to other
                                             stated that the proposed HCCM ‘‘log                                                                                              antiseptics.
                                                                                                           factors as well. The proposed HCCM
                                             reduction and acceptance criteria will                                                                                              When evaluating food handler
                                                                                                           does not take into consideration the
                                             demonstrate the appropriate                                   wide-ranging use conditions of food                                antiseptics, it is important to focus on
                                             effectiveness of products used in a food                      handler antiseptics, and it raises the                             the foodborne pathogens most often
                                             handling environment’’ (Ref. 5).                              question of how to best address the                                known to cause foodborne illness
                                             However, the HCCM did not define the                          broad spectrum of situational challenges                           through contamination of food by food
                                             appropriate level of effectiveness or                         stemming from these varied uses.                                   employee’s hands (Ref. 11). The list of
                                             include data to support corresponding                            Contact time is another factor that is                          ‘‘Pathogens Transmitted by Food
                                             effectiveness testing criteria.                               expected to impact an antiseptic’s                                 Contaminated by Infected Person Who
                                                The SDA also recommended the                               effectiveness. The Food Code, a model                              Handle Food, and Modes of
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                                             continued use of the Association of                           that represents FDA’s advice for a                                 Transmission of Such Pathogens’’ is
                                             Official Analytical Chemists (AOAC                            uniform system of provisions that                                  available on the Centers for Disease
                                             International) chlorine equivalency test                      address the safety and protection of food                          Control and Prevention (CDC) website
                                             for in vitro effectiveness testing of food                    offered at retail and in food service                              (https://www.cdc.gov/foodsafety/pdfs/
                                             handler antiseptics (Ref. 6). The SDA                         establishments, specifies that a food                              pathogens-by-food-handlers-508c.pdf).
                                             suggested that an antiseptic activity                         handler’s hand cleaning regimen should                             The in vitro testing proposed in the
                                             equivalent to 50 parts per million of                         last ‘‘at least 20 seconds’’ using a                               HCCM includes only bacterial species.


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                                             63172                        Federal Register / Vol. 83, No. 235 / Friday, December 7, 2018 / Notices

                                             However, in 2014, the CDC reported that                      in vitro studies to assess such activity                         public input is needed before a
                                             bacterial foodborne illness accounted                        (see section IV.C and IV.D.).                                    proposed monograph for OTC food
                                             for only 51 percent of food-borne                               In addition, in a 2005 meeting of                             handler antiseptics can be developed.
                                             disease outbreaks. Viruses were cited as                     FDA’s Nonprescription Drugs Advisory                             Therefore, FDA is seeking comments
                                             the second most common cause of                              Committee (Ref. 13) the committee                                and requesting submission of data and
                                             disease outbreaks (43 percent). Thus,                        observed that the existing test methods                          information relevant to a number of
                                             over one-third of food-borne disease                         for topical antiseptics used in consumer                         questions related to OTC food handler
                                             outbreaks included in the CDC report                         and professional settings are based on                           antiseptics (see section V.)
                                                                                                          the premise that bacterial reductions
                                             were not caused by bacteria (Ref. 12).                                                                                        C. Inclusion of Antiviral Indications in
                                                                                                          translate to a reduced potential for
                                             Further, norovirus was reported as the                                                                                        Food Handler Antiseptics
                                                                                                          infection. Although bacterial reduction
                                             most common cause of confirmed,                              can be demonstrated using tests that
                                             single-etiology outbreaks, accounting for                    simulate conditions of actual use, no                               In response to the 1994 TFM, the
                                             284 outbreaks (43 percent); its                              corresponding clinical data demonstrate                          Agency also received a citizen petition
                                             transmission from contaminated hands                         that bacterial reductions of the required                        in 2003 from the SDA and Cosmetic
                                             to food items plays a major role in this                     magnitude produce a corresponding                                Toiletry and Fragrance Association 1
                                             foodborne illness. Parasites, including                      reduction in infection. For consumer                             (SDA/PCPC Petition) requesting that the
                                             the protozoan species Giardia lamblia,                       antiseptic wash products, FDA has since                          proposed rule be amended to include
                                             Cryptosporidium species, and                                 recommended clinical outcome studies                             antiviral indications for OTC consumer,
                                             Cyclospora cayentanensis, accounted                          to demonstrate the products’ clinical                            food handler, and health care personnel
                                             for a much smaller number of outbreaks,                      benefit and their superiority compared                           antiseptics (Ref. 14). The SDA/PCPC
                                             but should also be taken into                                to plain soap and water (78 FR 76444,                            Petition proposed labeling, final
                                             consideration. These considerations                          81 FR 61106). This concern—whether                               formulation testing requirements, and
                                             raise questions concerning the                               the product’s efficacy can be evaluated                          effectiveness criteria to demonstrate the
                                             antimicrobial spectrum of activity that                      solely by in vitro tests—remains valid                           antiviral activity of antiseptics (Ref. 15).
                                             food handler antiseptic active                               also for food handler antiseptics.                               Table 2 summarizes the SDA/PCPC
                                             ingredients should demonstrate to be                            In light of the questions raised by                           Petition’s proposed testing and other
                                             considered effective and the appropriate                     FDA’s review of the proposed HCCM,                               effectiveness criteria for food handler
                                                                                                          we have concluded that additional                                antiseptics.

                                              TABLE 2—SUMMARY OF PETITIONER’S PROPOSED TESTING FOR DEMONSTRATION OF ANTIVIRAL EFFECTIVENESS OF FOOD
                                                                                      HANDLER ANTISEPTICS
                                                                                                                               Test organisms                                                           Effectiveness criteria
                                                 Proposed test method                                                         (ATCC strain No.)                                                       (reduction of viral load)

                                             Establish antiviral activity of       Rotavirus Wa (ATCC VR–2018) ..................................................................................   None stated.
                                               active ingredient (None).           Rhinovirus Type 37 (ATCC VR–1147) or
                                                                                   Rhinovirus Type 13 (ATCC VR–284).
                                             Establish antiviral activity of       Rotavirus Wa (ATCC VR–2018) ..................................................................................   2 log10.
                                               formulation.                        Rhinovirus Type 37 (ATCC VR–1147) or                                                                             Contact time: Unspecified,
                                             (ASTM E1838 1—fingerpad               Rhinovirus Type 13 (ATCC VR–284).                                                                                  should reflect use condi-
                                               method).                                                                                                                                               tions
                                             (ASTM E2011 2—entire-hand
                                               method).
                                               1 ASTM E1838; ‘‘Standard Test Method for Determining the Virus-Eliminating Effectiveness of Hygienic Handwash and Handrub Agents using
                                             Fingerpads of Adults.’’
                                               2 ASTM E2011; ‘‘Standard Test Method for Evaluation of Hygienic Handwash and Handrub Formulations for Virus-Eliminating Activity Using
                                             the Entire Hand.’’


                                               The SDA/PCPC Petition included                             and Rotavirus Wa (ATCC VR–2018). The                             E1838 and ASTM E201. Both these
                                             studies and publications in which the                        rationale for this recommendation is                             methods present simulation models of
                                             antiviral activity of several active                         based on the premise that both viruses                           viral contamination, and both measure
                                             ingredients included in the 1994 TFM                         are important hand-transmitted                                   the reduction of viral load on fingerpads
                                             and their final formulations were                            pathogens, less susceptible to                                   (ASTM E1838) or on the entire hand
                                             assessed by both in vitro test methods                       inactivation than enveloped viruses,                             (ASTM E201) after the application of the
                                             and clinical simulation studies (i.e.,                       and are known to survive for a                                   antiseptic test product. The SDA/PCPC
                                             studies that simulate conditions of use                      significant period on skin and surfaces                          Petition also proposed a 2 log10
                                             to evaluate a product’s efficacy in                          commonly contacted by hands. As such,                            reduction of the test virus or viruses as
                                             human subjects).                                             they present an adequate challenge for                           the criterion for antiviral effectiveness.
                                               The SDA/PCPC Petition recommends                           testing the antiviral activity of antiseptic                     Although several in vitro tests such as
                                             testing against respiratory and enteric                      products.                                                        the carrier method (Ref. 16) and
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                                             viral pathogens to determine the                                Regarding the test methods for                                suspension tests (Ref. 17) are presented
                                             antiviral activity of the antiseptics:                       demonstration of virucidal                                       in the submission, there is no
                                             Rhinovirus Type 37 (ATCC VR–1147) or                         effectiveness, the SDA/PCPC Petition                             recommendation with regard to in vitro
                                             Rhinovirus Type 13 (ATCC VR–284)                             proposed two specific methods: ASTM                              test methods for demonstration of


                                               1 In 2007, the CTFA changed its name to the

                                             Personal Care Products Council (PCPC).


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                                                                          Federal Register / Vol. 83, No. 235 / Friday, December 7, 2018 / Notices                                          63173

                                             virucidal activity of antiseptic products               viruses vary significantly in their                   what constitutes an adequate
                                             and/or their active ingredients.                        susceptibility to antiseptics and that this           demonstration of effectiveness of
                                               Lastly, the SDA/PCPC Petition                         variability makes it difficult to                     antiseptic active ingredients intended
                                             suggested a two-step approach for                       extrapolate the effectiveness results                 for use in the food handler setting, an
                                             antibacterial and antiviral labeling:                   obtained from the proposed viruses to a               evaluation of the submitted data would
                                             Providing that the antibacterial criteria               broader range of viruses (Ref. 19).                   be premature.
                                             as laid out in the rulemaking have been                    The SDA/PCPC Petition’s proposed 2
                                             met, the antiviral labeling would be                    log10 reduction of viral contamination as             VI. Questions for Public Input
                                             optional for products that in addition to               the criterion for determination of                      Based on the history of food handler
                                             antibacterial criteria, meet the antiviral              effectiveness is inadequate; viruses vary             antiseptics and a review of our records
                                             criteria.                                               in their infectivity titers, and 2 log10              and data received, we have determined
                                                                                                     titer reduction achieved in the proposed              that additional new data and
                                             D. FDA Response to the Proposed Model
                                                                                                     viruses may be irrelevant to other viral              information are needed to inform FDA
                                             for Antiviral Indications of the
                                                                                                     pathogens. We currently have no data to               on the safety and effectiveness of the
                                             Antiseptic Products
                                                                                                     evaluate the significance of 2 log10                  active ingredients used in food handler
                                               FDA responded to the SDA/PCPC                         reduction of test viruses and how such                antiseptics and drug products
                                             Petition on March 26, 2010, and denied                  reduction would relate to a reduced risk              containing them. Thus, we are soliciting
                                             the petition’s request that FDA amend                   of viral infections. In addition, the 2               data and information that will help
                                             the 1994 TFM (Ref. 18). The submitted                   log10 reduction of viral titers was                   address the questions that follow.
                                             data were reviewed by FDA, and the                      achieved in alcohol-based products, but
                                             following points were addressed:                        in studies where soap and water were                  A. Definition of Food Handler
                                               In vitro data included in the SDA/                    used, the virus reduction was in the                  Antiseptics
                                             PCPC Petition do not clearly                            range of 1 log10. In conclusion, FDA                     As discussed in section III, we view
                                             demonstrate the effectiveness of the                    determined that given these large                     food handler antiseptics as a category
                                             antiseptic active ingredients or product                variations, the clinical relevance of the             that includes antiseptic products used
                                             formulations against viruses. Primarily,                proposed criterion for antiviral                      in regulated settings where food is
                                             the in vitro results obtained may not                   effectiveness was not supported by the                grown, harvested, produced,
                                             predict the antiseptic’s effectiveness                  data and may not be applicable to many                manufactured, processed, packed,
                                             against viruses on human skin. An                       viral pathogens. The surrogate measure                transported, prepared, served, or
                                             evaluation of effectiveness against                     of antiviral effectiveness would need to              consumed.
                                             viruses on human skin would need to be                  be validated and its significance should                 In response to the questions that
                                             supported by adequate in vivo studies.                  be supported by clinical data.                        follow, FDA is seeking data and other
                                             In most of the studies, the test                           FDA found the test methods proposed                information on defining food handler
                                             conditions and results vary                             in the SDA/PCPC Petition inadequate to                antiseptic products and any other
                                             considerably. Also, most studies lacked                 support a general antiviral indication;               information relevant to their definition.
                                             vehicle and neutralization controls; this               the proposed ASTM methods do not                         • What are the categories of workers
                                             undermines the validity of the data and                 account for data variability, nor do they             who might use the food handler
                                             makes it difficult to evaluate the                      provide guidance on adequate study                    antiseptic products?
                                             contribution of the antiseptic product in               size and data analysis. Moreover, the                    • In what settings are food handler
                                             the reduction of the viral concentration.               studies submitted in support of the                   antiseptics used? What should be the
                                               Clinical simulation studies included                  proposed methods are insufficient to                  boundaries (e.g., growth, harvest,
                                             in the SDA/PCPC Petition were not                       demonstrate comparable results                        production, manufacturing, processing,
                                             adequately controlled to distinguish the                between the two ASTM methods                          packaging, transportation, storage,
                                             antiviral effectiveness of the antiseptic               proposed due to the small study size.                 preparation, service, and consumption)
                                             and eliminate bias. These studies lacked                   In short, data reviewed by FDA are                 of regulated use of food handler
                                             proper controls and adequate statistical                insufficient to support general antiviral             antiseptics? Are there any additional
                                             analyses. Most studies lacked either                    labeling for antiseptic products                      details and information to be considered
                                             vehicle or placebo controls such as                     including food handler antiseptics.                   related to scope-of-use settings of food
                                             washing with plain soap and water. In                   Additional data that adequately                       handler antiseptics?
                                             the few studies in which a vehicle                      demonstrate the antiviral effectiveness                  • What types of antiseptic products
                                             control was included, the advantage of                  of antiseptic active ingredients and their            are used by food handlers and what
                                             the antiseptic product use was not                      product formulations are needed to                    terms are used in the food industry to
                                             demonstrated. Moreover, the use of                      properly address the antiviral activity of            describe such products (e.g., wash, or
                                             plain soap and water was often found to                 food handler antiseptics.                             leave-on products)?
                                             be as or more effective than using the                                                                           • How frequently are food handler
                                             test antiseptic. Most studies also lacked               V. Data
                                                                                                                                                           antiseptics used?
                                             proper documentation of neutralization                     Data to support the effectiveness of
                                             and they were not randomized or                         several antiseptic active ingredients                 B. Active Ingredients for Food Handler
                                             blinded. Overall, the lack of adequate                  were also submitted to the FDA–1975–                  Antiseptic Products
                                             comparison controls rendered the                        N–0012–0494 docket by the PCPC in                        An OTC drug is eligible for the OTC
                                             submitted studies insufficient to                       response to the Consumer Wash                         Drug Review if its conditions of use
                                             demonstrate antiviral effectiveness.                    Proposed Rule (Ref. 20). Comments                     existed in the OTC drug marketplace on
amozie on DSK3GDR082PROD with NOTICES




                                               The SDA/PCPC Petition proposed                        received from the PCPC asserted that the              or before May 11, 1972 (37 FR 9464), or
                                             using an enteric pathogen, Rotavirus Wa                 data provided demonstrated                            if drug products with the same
                                             Type 30, and a respiratory pathogen,                    effectiveness based on the industry’s                 conditions of use have been marketed
                                             Rhinovirus Type 37, for testing                         proposed standard of effectiveness for                for a material time and extent such that
                                             antiseptic viral activity. After reviewing              food handler antiseptic products.                     they meet the requirements for
                                             submitted data and current                              However, because FDA currently has                    eligibility under FDA’s time and extent
                                             publications, FDA determined that                       insufficient information to determine                 application regulation (§ 330.14 (21 CFR


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                                             63174                        Federal Register / Vol. 83, No. 235 / Friday, December 7, 2018 / Notices

                                             330.14)). Conditions of use include,                    been in the marketplace inside and/or                 (i.e., ingestion of residual antiseptic due
                                             among others, active ingredient, dosage                 outside of the U.S. market?                           to transfer of such residues from food
                                             form and strength, route of                                • What active ingredients were in                  handlers to food contact surfaces and/or
                                             administration, and specific OTC use or                 products on the market for food handler               food). Are additional studies required to
                                             indication of the product (§ 330.14(a)).                use prior to 1972, and what evidence of               address this concern?
                                                To determine eligibility for the OTC                 eligibility for evaluation for use in food               • If additional studies are required to
                                             Drug Review, FDA typically must have                    handler antiseptic products under the                 address indirect consumer exposure to
                                             actual product labeling or a facsimile of               OTC Drug Review is available for these                antiseptic ingredients, what should they
                                             labeling that documents the conditions                  active ingredients?                                   be?
                                             of marketing of a product prior to May                     • What other information relevant to                  • On a daily basis, how frequently do
                                             1972 (21 CFR 330.10(a)(2)). FDA                         the eligibility of active ingredients for             food handlers use food handler
                                             considers a drug that is ineligible for                 use in food handler antiseptic products               antiseptic products in the workplace?
                                             inclusion in the OTC monograph system                   is available?                                         Are there any requirements related to
                                             to be a new drug that will require FDA                  C. Safety                                             the frequency of using food handler
                                             approval under a new drug application                                                                         antiseptics in the workplaces where
                                             (NDA) or an abbreviated new drug                           In the consumer antiseptic wash and                food is handled (e.g., produce safety
                                             application (ANDA). Also, an active                     rubs, and in the health care antiseptics              standards)?
                                             ingredient’s ineligibility for evaluation               rulemakings for OTC topical antiseptic                   • What data are available to support
                                             under the OTC Drug Review for a                         active ingredients, the following data                the long-term safety of the active
                                             specific indication does not affect its                 are required to determine the safety of               ingredients of these products (e.g., oral
                                             eligibility for evaluation for other                    these active ingredients as part of the               and dermal carcinogenicity studies)?
                                             indications under the OTC Drug                          risk-to-benefit evaluation of the                        • How should the potential for
                                             Review.                                                 product’s use (81 FR 61106 at 61117, 81               antimicrobial resistance to these active
                                                                                                     FR 42912, 80 FR 25166):                               ingredients be assessed?
                                                FDA’s recognition of the potential
                                             eligibility of food handler antiseptic                  • Animal toxicology data                                 • What data are available regarding
                                                                                                     • Carcinogenicity                                     antimicrobial resistance for these
                                             products for evaluation under the OTC
                                                                                                        Æ Dermal and Oral Exposure                         products, and how should the potential
                                             Drug Review is relatively new. We                       • Absorption, Distribution, Metabolism
                                             expect that many of the antiseptic active                                                                     of food handler antiseptics’ use with
                                                                                                          & Excretion                                      potential emergence of antimicrobial
                                             ingredients found in products currently                    Æ Dermal and Oral Exposure
                                             used by food handlers may not have                                                                            resistance be assessed?
                                                                                                     • Developmental & Reproductive                           • What other issues should be taken
                                             been on the U.S. market when the OTC                         Toxicology
                                             Drug Review was first established, or                                                                         into consideration to support evaluation
                                                                                                     • Hormonal Effects                                    of the safety of food handler antiseptic
                                             that it may be difficult to establish                   • Human absorption data from a
                                             eligibility based on use at that time. It                                                                     products?
                                                                                                          Maximal Usage Trial
                                             may be possible, however, that some of                  • Development of Antimicrobial                        D. Effectiveness
                                             the active ingredients currently used in                     Resistance                                          New information on potential risks
                                             these products have been in use in or
                                                                                                       To better assess the criteria for a                 posed by the long-term use of certain
                                             outside of the United States for a
                                                                                                     determination of the safety of active                 antiseptic active ingredients prompted
                                             material time and extent such that they
                                                                                                     ingredients used in food handler                      us to reconsider the data necessary to
                                             meet the requirements for eligibility
                                                                                                     antiseptics, we welcome information to                determine that active ingredients used
                                             under FDA’s time and extent
                                                                                                     answer the following questions and any                in consumer or health care antiseptic
                                             application regulation (§ 330.14). We
                                                                                                     other issues related to evaluating the                products are generally recognized as
                                             are, therefore, seeking information about
                                                                                                     safety of these products:                             safe and effective for their intended use.
                                             food handler antiseptic active
                                             ingredients and the products in which                     • Should the data required to                       Based on new data as well as on input
                                                                                                     demonstrate the safety of active                      provided during the Nonprescription
                                             they are found.
                                                                                                     ingredients intended for use in food                  Drugs Advisory Committee meeting of
                                                For the active ingredients used in                   handler antiseptic products be the same               March 2005, we have reevaluated the
                                             food handler antiseptics, we ask for                    as the safety criteria for active                     effectiveness data needed for consumer
                                             submission of the following                             ingredients intended for use in                       and health care antiseptic active
                                             information:                                            consumer antiseptic and health care                   ingredients (78 FR 76444, 81 FR 42912,
                                                • What are the active ingredients                    antiseptic products?                                  80 FR 25166).
                                             currently used in food handler                            • If antiseptic hand rubs or leave-on                  For topical antiseptics used both in
                                             antiseptic products?                                    products are used, the presence of                    consumer and health care settings, the
                                                • How long and to what extent (e.g.,                 residual antiseptic products on the                   following studies in table 3 are required
                                             number of units or volume sold) have                    hands of food handler professionals may               or proposed to be required to
                                             currently marketed active ingredients                   result in indirect consumer exposure                  demonstrate effectiveness.

                                                        TABLE 3—EFFECTIVENESS DATA REQUIREMENTS FOR OTC CONSUMER AND HEALTH CARE ANTISEPTICS
                                                        Required tests                                            In vitro                                                   In vivo
amozie on DSK3GDR082PROD with NOTICES




                                             Consumer Antiseptic Washes .........       • Time-kill Assay *                                           • Clinical Outcome Studies
                                                                                                                                                          Æ Evaluates the effect of antiseptic use in de-
                                                                                                                                                             creasing the incidence of infections.
                                             Consumer Antiseptic Rubs .............     • Minimal Bactericidal Concentration *.                       • Clinical Simulation Studies
                                                                                        • Time-kill Assay *.                                              Æ Measures the reduction of bacteria on skin
                                                                                                                                                             due to antiseptic use.




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                                                                           Federal Register / Vol. 83, No. 235 / Friday, December 7, 2018 / Notices                                             63175

                                                TABLE 3—EFFECTIVENESS DATA REQUIREMENTS FOR OTC CONSUMER AND HEALTH CARE ANTISEPTICS—Continued
                                                         Required tests                                           In vitro                                                   In vivo

                                             Health Care Antiseptics ..................   • Minimal Bactericidal Concentration **.                    • Clinical Simulation Studies
                                                                                          • Time-kill Assay **.                                           Æ Measures reduction of bacteria on skin due
                                                                                                                                                             to antiseptic use
                                                                                                                                                          Æ Evaluates the persistence of bactericidal ac-
                                                                                                                                                             tivity by measuring bacteria on skin 6 hours
                                                                                                                                                             post product application for surgical hand
                                                                                                                                                             scrub and patient preoperative skin prepara-
                                                                                                                                                             tion antiseptic products.
                                                * Test organisms are representative of infections occurring in consumer settings.
                                                ** Test organisms are representative of infections occurring in health care settings.


                                                To assess the effectiveness criteria for             directions of use or according to                     display at https://www.regulations.gov
                                             food handler antiseptic active                          establishment-based standard operating                because they have copyright restriction.
                                             ingredients, as well as the testing                     procedures?                                           Some may be available at the website
                                             methods necessary to demonstrate                           • Given the importance of a                        address, if listed. References without
                                             effectiveness, we are interested in                     consistently effective product, should                asterisks are available for viewing only
                                             gathering information on the following                  the dose of a food handler antiseptic                 at the Dockets Management Staff. FDA
                                             questions related to in vivo testing:                   vary with the product or should a                     has verified the website addresses as of
                                                • What studies should be used for a                  standard dose be required?                            the date this document publishes in the
                                             demonstration of efficacy in vivo?                         • For the same reasons noted earlier,              Federal Register, but websites are
                                                • Should effectiveness be established                should the recommended length of time                 subject to change over time.
                                             through clinical outcome study (e.g.,                   and/or frequency of use of the antiseptic             *1. Comment submitted in Docket No. FDA–
                                             show a statistically significant reduction              product be consistent and standardized                     1975–N–0012–0111, Volume 1 of 4, Part
                                             in food-borne illness associated with the               for all food handler antiseptics?                          A. Available at https://www.regulations.
                                             use of a food handler antiseptic in                        We would also like information as it                    gov/document?D=FDA-1975-N-0012-
                                             comparison to vehicle or washing with                   relates to the following questions on in                   0111.
                                             plain soap and water)?                                  vitro testing:                                        *2. Comment submitted in Docket No. FDA–
                                                • Do the data support use of a                          • How should the products                               1975–N–0012–0085. Available at https://
                                             simulation model as a surrogate for                     demonstrate effectiveness in vitro?                        www.regulations.gov/document?D=FDA-
                                             effectiveness, such as bacterial log                       • What in vitro test methods should                     1975-N-0012-0085.
                                             reduction on the hands of a food                        be used, e.g., minimal bactericidal                   *3. Comment submitted in Docket No: FDA–
                                                                                                                                                                1975–N–0012–0493. Available at https://
                                             handler or on food following use of the                 concentration and Time-kill Assay?                         www.regulations.gov/document?D=FDA-
                                             product? What data can be used to link                     • What organisms should food                            1975-N-0012-0493.
                                             a simulation model to clinical outcomes                 handler antiseptics be required to                    *4. FDA, ‘‘HACCP Principles & Application
                                             related to food-borne illness (i.e., model              demonstrate effectiveness against?                         Guidelines.’’ Available at https://
                                             validation)?                                            Should viruses and other organisms                         www.fda.gov/Food/GuidanceRegulation/
                                                • If the bacterial log reduction                     (e.g., protozoa) be tested as well as                      HACCP/ucm2006801.htm. Accessed on
                                             method for assessing effectiveness is                   bacteria?                                                  May 15, 2018.
                                             used, what should be the required log                      • Should the test methods address the              *5. Comment submitted in Docket No. FDA–
                                             reduction criteria for food handler                     effects of organic load (i.e., high fat                    1975–N–0012–0081. Available at https://
                                             antiseptics and what are the data that                                                                             www.regulations.gov/document?D=FDA-
                                                                                                     content, blood, or other materials) and
                                                                                                                                                                1975-N-0012-0081.
                                             support such log reduction criteria?                    dirt or soil on the effectiveness of food             6. AOAC International ‘‘AOAC 955.16–1955,
                                                • Are there any other criteria, such as              handler antiseptics?                                       Chlorine (available) in Disinfectants.
                                             reduction of transmission of                               • What other variables could impact                     Germicidal Equivalent Concentration.’’
                                             microorganisms after use of food                        the effectiveness of food handler                          Available at http://www.aoacofficial
                                             handler antiseptics that should be                      antiseptics besides organic load, and                      method.org/index.php?main_
                                             considered to determine the                             how should the effect of such variables                    page=product_info&cPath=1&products_
                                             effectiveness of food-handler                           be taken into consideration during                         id=1578. Accessed on May 15, 2018.
                                             antiseptics?                                            testing?                                              7. Boyce, J.M. and D. Pittet, ‘‘Guideline for
                                                • The Health Care Antiseptics Final                     • How quickly must these products                       Hand Hygiene in Health-Care Settings;
                                             Rule requires that for surgical hand                                                                               Recommendations of the Healthcare
                                                                                                     demonstrate effectiveness?                                 Infection Control Practices Advisory
                                             scrub and patient preoperative skin                        • At what specific time point(s)                        Committee and the HICPAC/SHEA/
                                             preparation indications, the antiseptic                 should effectiveness be measured?                          APIC/IDSA Hand Hygiene Task Force,’’
                                             activity of the product must be both                                                                               Morbidity and Mortality Weekly Report,
                                             immediate and persistent (82 FR 60474                   VII. References
                                                                                                                                                                51:1–45, 2002.
                                             at 60488). The effectiveness criteria for                 The following references marked with                8. Edmonds, S.L., R.R. McCormack, S.S
                                             such products require that, in addition                 an asterisk (*) are on display at the                      Zhou, et al., ‘‘Hand Hygiene Regimens
                                             to the immediate antibacterial activity                 Dockets Management Staff (see                              for the Reduction of Risk in Food Service
amozie on DSK3GDR082PROD with NOTICES




                                             demonstrated by log reduction, bacterial                ADDRESSES) and are available for                           Environments,’’ Journal of Food
                                                                                                     viewing by interested persons between                      Protection, 75(7):1303–1309, 2012.
                                             growth is also suppressed for 6 hours                                                                         9. Chen Y., K.M. Jackson, F.P. Chea, et al.,
                                             after product use. Should food handler                  9 a.m. and 4 p.m., Monday through                          ‘‘Quantification and Variability Analysis
                                             antiseptics’ action be persistent?                      Friday; they also are available                            of Bacterial Cross-Contamination Rates
                                                • How are food handler antiseptics                   electronically at https://                                 in Common Food Service Tasks,’’
                                             used in food handler settings? Are they                 www.regulations.gov. References                            Journal of Food Protection 64(1): p. 72–
                                             used according to the manufacturer’s                    without asterisks are not on public                        80, 2001.



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                                             63176                        Federal Register / Vol. 83, No. 235 / Friday, December 7, 2018 / Notices

                                             *10. FDA, Food Code 2017 2–301.12.                        Dated: December 3, 2018.                            Food and Drug Administration’s
                                                  Available at https://www.fda.gov/                  Leslie Kux,                                           (FDA’s) Research and Evaluation
                                                  downloads/Food/GuidanceRegulation/                                                                       Survey for the Public Education
                                                                                                     Associate Commissioner for Policy.
                                                  RetailFoodProtection/FoodCode/                                                                           Campaign on Tobacco (RESPECT)
                                                  UCM595140.pdf. Accessed on May 15,                 [FR Doc. 2018–26561 Filed 12–6–18; 8:45 am]
                                                                                                                                                           Among the LGBT Community
                                                  2018.                                              BILLING CODE 4164–01–P
                                             *11. ‘‘Diseases Transmitted through the Food                                                                  OMB Control Number 0910–0808—
                                                  Supply: Pathogens Transmitted by Food                                                                    Extension
                                                  Contaminated by Infected Person Who                DEPARTMENT OF HEALTH AND                                 The 2009 Family Smoking Prevention
                                                  Handle Food, and Modes of                          HUMAN SERVICES                                        and Tobacco Control Act (Tobacco
                                                  Transmission of Such Pathogens.’’
                                                                                                                                                           Control Act) (Pub. L. 111–31) amended
                                                  Available at https://www.cdc.gov/                  Food and Drug Administration                          the Federal Food, Drug, and Cosmetic
                                                  foodsafety/pdfs/pathogens-by-food-
                                                  handlers-508c.pdf.
                                                                                                                                                           Act (FD&C Act) to grant FDA authority
                                             *12. Gould, H., et al. ‘‘Surveillance for
                                                                                                     [Docket No. FDA–2015–N–2126]                          to regulate the manufacture, marketing,
                                                  Foodborne Disease Outbreaks-United                                                                       and distribution of tobacco products to
                                                                                                     Agency Information Collection                         protect public health and to reduce
                                                  States 1998–2008,’’ Morbidity and
                                                  Mortality Weekly Report, Surveillance              Activities; Submission for Office of                  tobacco use by minors. Section
                                                  Summaries 62 (2).                                  Management and Budget Review;                         1003(d)(2)(D) of the FD&C Act (21
                                             *13. Transcript of the October 20, 2005,                Comment Request; Food and Drug                        U.S.C. 393(d)(2)(D)) supports the
                                                  Nonprescription Drugs Advisory                     Administration’s Research and                         development and implementation of
                                                  Committee Meeting. Available at http://            Evaluation Survey for the Public                      FDA public education campaigns
                                                  wayback.archive-it.org/7993/2017                   Education Campaign on Tobacco                         related to tobacco use. In May 2016,
                                                  0404055923/https:/www.fda.gov/ohrms/               Among the Lesbian Gay Bisexual                        FDA began implementing a public
                                                  dockets/ac/05/transcripts/2005-                    Transgender Community                                 education campaign to help prevent and
                                                  4184T1.pdf. Accessed May 15, 2018                                                                        reduce tobacco use among Lesbian, Gay,
                                             *14. Comment submitted in Docket No.                    AGENCY:    Food and Drug Administration,              Bisexual, and Transgender (LGBT)
                                                  FDA–1975–N–0012–0037. Available at                                                                       young adults and thereby reduce the
                                                  https://www.regulations.gov/search
                                                                                                     HHS.
                                                                                                                                                           public health burden of tobacco. The
                                                  Results?rpp=25&po=0&s=FDA-1975-N-                  ACTION:   Notice.                                     campaign continues to be implemented
                                                  0012-0037&fp=true&ns=true. Accessed
                                                                                                                                                           in 12 U.S. cities and features events,
                                                  May 15, 2018.                                      SUMMARY:   The Food and Drug
                                             *15. Comment submitted in Docket No.
                                                                                                                                                           television and radio and print
                                                                                                     Administration (FDA) is announcing                    advertisements, digital communications,
                                                  FDA–1975–N–0012–0038. Available at
                                                  https://www.regulations.gov/                       that a proposed collection of                         including videos, social media, and
                                                  searchResults?rpp=25&po=0&s=FDA-                   information has been submitted to the                 other forms of media. For the purpose
                                                  1975-N-0012-0038&fp=true&ns=true.                  Office of Management and Budget                       of this notice, these campaign elements
                                             16. ASTM International, ‘‘ASTM E2720,                   (OMB) for review and clearance under                  will be referred to as ‘‘advertisements’’
                                                  Standard Practice for Evaluation of                the Paperwork Reduction Act of 1995.                  or ‘‘ads.’’
                                                  Effectiveness of Decontamination                                                                            In support of the provisions of the
                                                  Procedures for Air-Permeable Materials             DATES:  Fax written comments on the                   Tobacco Control Act that require FDA to
                                                  when Challenged with Biological                    collection of information by January 7,               protect the public health and to reduce
                                                  Aerosols Containing Human Pathogenic               2019.                                                 tobacco use, FDA requests OMB
                                                  Viruses.’’ Available at https://                                                                         approval to collect information needed
                                                  www.astm.org/search/fullsite-                      ADDRESSES:   To ensure that comments on
                                                                                                                                                           to evaluate FDA’s campaign to reduce
                                                  search.html?query=                                 the information collection are received,
                                                                                                                                                           tobacco use among LGBT young adults.
                                                  E2720&toplevel=products-and-                       OMB recommends that written
                                                                                                                                                           Comprehensive evaluation of FDA’s
                                                  services&sublevel=standards-and-                   comments be faxed to the Office of                    public education campaigns is needed
                                                  publications. Accessed on May 15, 2018.            Information and Regulatory Affairs,                   to ensure campaign messages are
                                             17. ASTM International, ‘‘ASTM E1052,                   OMB, Attn: FDA Desk Officer, Fax: 202–                effectively received, understood, and
                                                  Standard Test Method to Assess the                 395–7285, or emailed to oira_
                                                  Activity of Microbicides against Viruses                                                                 accepted by those for whom they are
                                                                                                     submission@omb.eop.gov. All                           intended. Evaluation is an essential
                                                  in Suspension.’’ Available at https://
                                                  www.astm.org/search/fullsite-
                                                                                                     comments should be identified with the                organizational practice in public health
                                                  search.html?query=                                 OMB control number 0910–0808. Also                    and a systematic way to account for and
                                                  e1052&resStart=0&resLength=                        include the FDA docket number found                   improve public health actions.
                                                  10&toplevel=products-and-                          in brackets in the heading of this                       To evaluate the effectiveness of FDA’s
                                                  services&sublevel=standards-and-                   document.                                             RESPECT at reducing tobacco use
                                                  publications&. Accessed on May 15,                                                                       among LGBT young adults aged 18 to
                                                  2018.                                              FOR FURTHER INFORMATION CONTACT:                      24, FDA contracted with RTI
                                             *18. Petition Denial Response Letter from               Amber Sanford, Office of Operations,                  International to conduct Web-based
                                                  FDA to PCPC and SDA. No. FDA–1975–                 Food and Drug Administration, Three                   surveys with the target population in
                                                  0012–0042. Available at https://                   White Flint North, 10A–12M, 11601                     the 12 campaign cities and 12
                                                  www.regulations.gov/document?D=FDA-                Landsdown St., North Bethesda, MD                     comparison cities. The surveys include
                                                  1975-N-0012-0042. Accessed on May 15,
                                                                                                     20852, 301–796–8867, PRAStaff@                        measures of tobacco-related knowledge,
                                                  2018.
amozie on DSK3GDR082PROD with NOTICES




                                             19. Steinman, J., ‘‘Some Principles of
                                                                                                     fda.hhs.gov.                                          attitudes, beliefs, intentions, and use as
                                                  Virucidal Testing,’’ Journal of Hospital                                                                 well as measures of audience awareness
                                                                                                     SUPPLEMENTARY INFORMATION:    In                      of and exposure to campaign events and
                                                  Infection, 48:S15–S17, 2001.
                                             *20. Comment submitted in Docket No.
                                                                                                     compliance with 44 U.S.C. 3507, FDA                   advertisements. The voluntary surveys
                                                  FDA–1975–N–0012–0494. Available at                 has submitted the following proposed                  also collect information on demographic
                                                  https://www.regulations.gov/document?              collection of information to OMB for                  variables, including sexual orientation,
                                                  D=FDA-1975-N-0012-0494.                            review and clearance.                                 age, sex, race/ethnicity, education, and


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Document Created: 2018-12-07 01:52:34
Document Modified: 2018-12-07 01:52:34
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionNotices
ActionNotice; request for data and information.
DatesSubmit either electronic or written comments, data, or information by February 5, 2019.
ContactPranvera Ikonomi, Center for Drug Evaluation and Research, Food and Drug Administration, 10903 New Hampshire Ave., Bldg. 22, Rm. 5418, Silver Spring, MD 20993-0002, 240- 402-0272.
FR Citation83 FR 63168 

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