The document summarizes feedback from stakeholders on AstraZeneca's submission to the FDA regarding social media engagement in the pharmaceutical industry.
Key discussion points included that social media is important for advancing public health, and pharmaceutical companies have a responsibility to engage more in social media. Stakeholders provided feedback on the FDA's role as regulator, noting social media requires a tailored approach, and companies can help address misinformation online. They also covered pharmaceutical companies' role, emphasizing the need for ongoing dialogue and mutual agreement with patients/caregivers.
Managing knowledge and relationship by web to improve sales efficacy - SFE Su...USP e Plexus
Presentation exploring how pharma industry in Brazil and around world are using the web 2.0 to establish interactions with medical community (social networking, twitter, facebook, youtube, linkedin, etc)
Companies can leverage social media to drive business and compete effectively in the new era of health care. But what do you need to know before jumping in or expanding your efforts? What considerations do medical technology marketing professionals need to take into account when implementing a strategic social-media plan?
Part one of our five-part series outlines how medical technology professionals can use social media in a regulated environment. Even more importantly, it gives readers the supporting evidence needed to recommend specific social-media strategies to management and internal legal and regulatory teams.
Managing knowledge and relationship by web to improve sales efficacy - SFE Su...USP e Plexus
Presentation exploring how pharma industry in Brazil and around world are using the web 2.0 to establish interactions with medical community (social networking, twitter, facebook, youtube, linkedin, etc)
Companies can leverage social media to drive business and compete effectively in the new era of health care. But what do you need to know before jumping in or expanding your efforts? What considerations do medical technology marketing professionals need to take into account when implementing a strategic social-media plan?
Part one of our five-part series outlines how medical technology professionals can use social media in a regulated environment. Even more importantly, it gives readers the supporting evidence needed to recommend specific social-media strategies to management and internal legal and regulatory teams.
US FOOD AND DRUG ADMINISTRATION’S SOCIAL MEDIA USAGE GUIDELINES: ARE PHARMACE...Clarinda Cerejo
This poster was presented by representatives from the Cactus Life Sciences team at the 15th Annual Meeting of the International Society for Medical Publication Professionals (ISMPP), 2019.
WOMMA FDA Presentation on Adverse Events November 2009John Bell
WOMMA presented to the FDA during the FDA INternet and Social Media Hearings in November 2009 in Washington DC. This is one of two testimonies in front of the FDA.This presentation was delivered by Melissa Davies, WOMMA Member and Director at Nielsen
Life science companies need to ensure their business initiatives take advantage of social media analytics. Read about the challenge of maximizing the opportunity and generating value from real world patient insights.
Healthcare Social Networking: Is Pharma Ready to Join the Conversation?Len Starnes
A pragmatic assessment of the impact of social networking on pharma marketing & sales. Includes analyses of HCPs' social networks, consumer/patient social networks and the convergence of PR with SEO and SEM. Presented at conferences in Zurich, Shanghai and Boston during 2008. This version presented at EyeforPharma's
E-Communications and Online Marketing Summit, Boston, 2008.
Connect After Clinic: How Digital Technologies Can Strengthen the Physician-P...Nisha Cooch, PhD
“Smart IT must accommodate, preserve, and uplift interpersonal relationships in health care.”
-Michael Weiner, MD, MPH & Paul Biondich, MD
The physician-patient relationship is an important but often overlooked contributor to patient health. Impressively, a good physician-patient relationship is just as important to health outcomes as the use of well-established medical interventions. It is therefore critical that physicians and patients alike commit to the development of this important connection and explore opportunities to strengthen it.
In this presentation, I discuss what contributes to a healthy physician-patient relationship, concerns about how technology may threaten it, and how to best leverage technology to improve it.
Digitas Health released the results of its research into how European doctors, patients and caregivers use social media for information, education and support. The results were explained at a pharmaceutical marketing conference, ThinkDigital 2010, held by Digitas Health in London on March 25, 2010.
A millennial generally refers to a person born between 1981 and 1997. In 2016, the Pew Research Center found that Millennials surpassed Baby Boomers to become the largest living generation in the United States. “Digital Native”. More likely to use the internet for research. How can social media help specialist medical practices stay competitive.
Collaborative Digital Pharma Marketing: A Role Model for Asia Pacific Healthc...Len Starnes
Presentation first given 10th March 2011 in Singapore at the Campaign Spotlight 'From Drugs to Brands' conference. Reviews the potential of collaborative marketIng in the Asia Pacific region with focus on physicians and patients.
Going online doesn’t have to be only about chatting with colleagues and patients. Experts give insights into techniques to tap into the power of social media.
Successful strategies and tactics for social media marketing in healthcare brand management.
www.healthcaremedicalpharmaceuticaldirectory.com
John G. Baresky
https://www.linkedin.com/in/johngbaresky
John Baresky Healthcare Marketing Leader, Pharmaceutical Marketing, Digital Marketing Strategy, Content Marketing Strategy, Market Access Strategy, Healthcare RPA Software Marketing Strategy
These slides provide an overview of a white paper - “Connecting with Patients, Overcoming Uncertainty” white paper was produced by Envision Solutions, TNS Media Intelligence/Cymfony and law firm Seyfarth Shaw.
US FOOD AND DRUG ADMINISTRATION’S SOCIAL MEDIA USAGE GUIDELINES: ARE PHARMACE...Clarinda Cerejo
This poster was presented by representatives from the Cactus Life Sciences team at the 15th Annual Meeting of the International Society for Medical Publication Professionals (ISMPP), 2019.
WOMMA FDA Presentation on Adverse Events November 2009John Bell
WOMMA presented to the FDA during the FDA INternet and Social Media Hearings in November 2009 in Washington DC. This is one of two testimonies in front of the FDA.This presentation was delivered by Melissa Davies, WOMMA Member and Director at Nielsen
Life science companies need to ensure their business initiatives take advantage of social media analytics. Read about the challenge of maximizing the opportunity and generating value from real world patient insights.
Healthcare Social Networking: Is Pharma Ready to Join the Conversation?Len Starnes
A pragmatic assessment of the impact of social networking on pharma marketing & sales. Includes analyses of HCPs' social networks, consumer/patient social networks and the convergence of PR with SEO and SEM. Presented at conferences in Zurich, Shanghai and Boston during 2008. This version presented at EyeforPharma's
E-Communications and Online Marketing Summit, Boston, 2008.
Connect After Clinic: How Digital Technologies Can Strengthen the Physician-P...Nisha Cooch, PhD
“Smart IT must accommodate, preserve, and uplift interpersonal relationships in health care.”
-Michael Weiner, MD, MPH & Paul Biondich, MD
The physician-patient relationship is an important but often overlooked contributor to patient health. Impressively, a good physician-patient relationship is just as important to health outcomes as the use of well-established medical interventions. It is therefore critical that physicians and patients alike commit to the development of this important connection and explore opportunities to strengthen it.
In this presentation, I discuss what contributes to a healthy physician-patient relationship, concerns about how technology may threaten it, and how to best leverage technology to improve it.
Digitas Health released the results of its research into how European doctors, patients and caregivers use social media for information, education and support. The results were explained at a pharmaceutical marketing conference, ThinkDigital 2010, held by Digitas Health in London on March 25, 2010.
A millennial generally refers to a person born between 1981 and 1997. In 2016, the Pew Research Center found that Millennials surpassed Baby Boomers to become the largest living generation in the United States. “Digital Native”. More likely to use the internet for research. How can social media help specialist medical practices stay competitive.
Collaborative Digital Pharma Marketing: A Role Model for Asia Pacific Healthc...Len Starnes
Presentation first given 10th March 2011 in Singapore at the Campaign Spotlight 'From Drugs to Brands' conference. Reviews the potential of collaborative marketIng in the Asia Pacific region with focus on physicians and patients.
Going online doesn’t have to be only about chatting with colleagues and patients. Experts give insights into techniques to tap into the power of social media.
Successful strategies and tactics for social media marketing in healthcare brand management.
www.healthcaremedicalpharmaceuticaldirectory.com
John G. Baresky
https://www.linkedin.com/in/johngbaresky
John Baresky Healthcare Marketing Leader, Pharmaceutical Marketing, Digital Marketing Strategy, Content Marketing Strategy, Market Access Strategy, Healthcare RPA Software Marketing Strategy
These slides provide an overview of a white paper - “Connecting with Patients, Overcoming Uncertainty” white paper was produced by Envision Solutions, TNS Media Intelligence/Cymfony and law firm Seyfarth Shaw.
How to use the Power of Social Media in the Pharmaceutical Industry.pdfdnyaneshwarivedpatha1
Impact of COVID-19 on Social Media Engagement
The outbreak of the COVID-19 pandemic in 2020 brought about significant shifts in online behavior, particularly in the pharmaceutical sector. With national lockdowns and social distancing measures in place, people turned to social media as a primary source of information, entertainment, and connection. The average user spent more time than ever on social media platforms, seeking news updates, community support, and healthcare guidance.
Importance of Understanding Regulatory Landscape
Amidst this digital evolution, it’s crucial for pharmaceutical companies to navigate the regulatory landscape effectively while leveraging the power of social media. Regulations play a vital role in ensuring ethical practices, accuracy of information, and protection of consumers’ health and privacy. Therefore, understanding and adhering to regulatory guidelines is paramount for pharmaceutical organizations engaging in social media marketing.
This blog will delve into the intersection of social media marketing and regulatory compliance within the pharmaceutical industry, highlighting key guidelines, best practices, and the evolving landscape shaped by global trends and pandemic influences.
Evolution of FDA Regulations
Historical Restrictions on Pharmaceutical Content
In the early days of social media, pharmaceutical companies faced stringent restrictions on the type of content they could share online. The FDA’s regulatory framework, aimed at ensuring public safety and preventing misleading information, posed challenges for marketers in the pharmaceutical sector. Companies had to navigate complex rules regarding the promotion of prescription drugs, including limitations on discussing specific drug benefits and risks in online platforms.
Changing Landscape and Updated Regulations
Over time, the landscape of social media marketing in the pharmaceutical industry has evolved significantly. Regulatory bodies like the FDA have recognized the growing influence of digital platforms and the need for updated guidelines that strike a balance between promotional activities and regulatory compliance. This shift has led to the revision of regulations and the introduction of updated guidelines tailored to the digital era.
The FDA, in collaboration with industry stakeholders, has issued guidance documents and updates to help pharmaceutical companies navigate social media marketing responsibly. These guidelines address key areas such as fair balance in promotional content, disclosure of risk information, handling of adverse events, and engagement with online communities. The changing regulations reflect a broader acknowledgment of the importance of digital communication channels in healthcare information dissemination.
Importance of Compliance Amidst Evolving Regulations
Compliance with regulatory requirements is paramount for pharmaceutical companies operating in the social media landscape. As regulations evolve
The Public Relations Society of America and the Word of Mouth Marketing Association filed joint comments with the U.S. Food and Drug Administration concerning guidelines for pharmaceutical companies' use of social media.
This is the annotated and expanded version of WEGO Health’s presentation at the FDA’s Public Hearing and the Health Activist Social Media Survey results with graphs and explanations.
Wego Health FDA Post Presentation Data Pptguest4c357f
Annotated and expanded version of WEGO Health’s presentation at the FDA’s Public Hearing and the Health Activist Social Media Survey results with graphs and explanations.
지난 2013년 6월 “Digital Health: Building Social Confidence in Pharma’라는 제목으로 웨버 샌드윅(Weber Shandwick)이 발표한 리포트는 현재 글로벌 제약회사에서 소셜 미디어 커뮤니케이션 활동을 책임지는 13명의 임원들과 마케팅 컨설턴트가 참여했으며, 제약회사들의 소셜 미디어 도입 현황, 도입 시 혜택, 극복과제, 실행 방안 등 주제별 주요 인사이트가 반영되어 있다.
Navigating FDA’s Social Media Guidelines for Medical Devices.pdfdnyaneshwarivedpatha1
Ensuring Regulatory Compliance and Monitoring in Medical Device Marketing
Compliance and Monitoring
FDA’s Stance on Continued Monitoring of Third-Party Websites and Social Media Platforms
The FDA emphasizes the importance of continued monitoring of third-party websites and social media platforms by medical device companies. This monitoring helps ensure that information related to their products remains accurate, up-to-date, and compliant with regulatory guidelines. Companies are responsible for actively monitoring user-generated content and addressing any misleading or inaccurate information promptly.
Non-Objection to Voluntary Corrections Meeting FDA’s Recommendations
The FDA encourages voluntary corrections by medical device companies to address misinformation or inaccuracies in their marketing materials. When companies take proactive steps to correct such information in line with FDA’s recommendations, the agency generally does not object to these corrective actions. This reflects a collaborative approach between regulatory authorities and industry stakeholders to uphold transparency and accuracy in marketing communications.
Reminder for Companies to Comply with Applicable Regulatory Requirements in Corrective Actions
Medical device companies must ensure that their corrective actions comply with all applicable regulatory requirements set forth by the FDA. This includes providing truthful and non-misleading information, adhering to labeling guidelines, and disclosing affiliations or relationships related to corrective information. Compliance with these requirements is essential to maintain ethical standards and regulatory compliance in marketing practices.
Recommendation for Companies to Maintain Records for Potential FDA Inquiries
As part of regulatory compliance, companies are advised to maintain detailed records of their marketing activities, corrective actions, and communications related to their medical devices. These records serve as evidence of compliance with FDA guidelines and can be valuable in addressing potential inquiries or audits by the FDA. Proper record-keeping demonstrates transparency, accountability, and a commitment to regulatory compliance within the medical device industry.
By adhering to these compliance and monitoring practices, medical device companies can uphold regulatory standards, address misinformation effectively, and maintain trust and credibility among consumers and regulatory authorities alike.
Navigating FDA Guidelines: Best Practices for Medical Device Advertising
Conclusion and Recommendations
Recap of Key Points from FDA’s Proposed Guidelines and Relevant Regulations
Throughout this discussion, we’ve explored the FDA’s proposed guidelines and regulations concerning medical device advertising on social media platforms. Key points include the importance of accurate and balanced communication of benefits and risks, addressing misinformation, and complying with FDA requirements for promotional
Social Media Guidelines and Safeguards for the Phamaceutical Industry: What Y...Stacy Lukasavitz Steele
This is a POV I wrote in June 2010 advising pharmaceutical companies on what they should do in the social media space until the FDA issues its official guidelines. It will soon be updated.
HCS490 v11External Influences on Consumer Choice WorksheetHCSJeanmarieColbert3
HCS/490 v11
External Influences on Consumer Choice Worksheet
HCS/490 v11
Page 2 of 2
External Influences on Consumer Choice Worksheet
Health care consumers receive various communications about different health care options. It is important to understand consumer demographics to determine the impact (positive or negative) media, social networks, branding, marketing, and communication play in health care consumer choices.
In this assignment, you will research managed care plans to determine what impact social media and other external influences have on consumer behaviors. Research the different managed care insurance plans listed below by reviewing various health care organizations or resources (e.g., Kaiser as an HMO).
Consider within your research who might access the health care systems (i.e., age, generation, socioeconomic status, military/veteran, and health care insurance plans, etc.).
List 2 advantages and 2 disadvantages of HMOs, PPOs, and POSs in the following chart.
Health Maintenance Organization (HMO)
Preferred Provider Organization (PPO)
Point of Service (POS)
Advantages
1.
2.
1.
2.
1.
2.
Disadvantages
1.
2.
1.
2.
1.
2.
Write a 90- to 175-word response to the following prompts. Consider the information you listed in the chart above as well as what you know about consumer behavior when you compose your response.
· Explain the impact media and social networking have on consumers when choosing the most appropriate managed care health insurance plans. Consider the positive and negative impacts.
· Describe how branding, marketing, and communication influence a consumer’s choice when considering an appropriate managed care health insurance plan. Consider positive and negative influences.
· Explain how communication and education to consumers differ by generation when marketing managed care health insurance plans. Consider why it is important to communicate and educate differently across generations.
Cite 2 peer-reviewed, scholarly, or similar references.
Copyright 2021 by University of Phoenix. All rights reserved.
Copyright 2021 by University of Phoenix. All rights reserved.
7.2 Discussion Board: Effective Project Communication Topic 1
Topic 1: Documenting and Communicating Project Progress
One of the concepts discussed in Chapter 6 of the textbook “Strategic Project Management – BUS 5661” is the importance of documenting and communicating the progress on a project. Your company is a major software development company that develops enterprise software for Internet and mobile applications. You have recently been appointed the team leader on a new software development project. The members of your team have worked on various software development projects for the company. At your first team meeting, you suggest that the team meet every time the project reaches a major milestone, as defined in the project plan. However, several members of your team complained that the meetings are a waste of time. These members feel that a well-writte ...
Perficient Perspectives: The Evolution of Social Media in HealthcarePerficient, Inc.
Healthcare organizations continue to navigate the transforming healthcare industry and identify new avenues to engage with consumers outside of the facility walls. In a fast-paced, information-dominated world, successfully interacting with consumers may seem like a daunting task. The key is to connect with consumers where they are and provide them with actionable health and wellness information they need to live a healthier life.
When you think of social media in healthcare you might think it is a tool for marketing, but it goes much farther than that. Sure, social media can be used to attract and retain consumers, but social media can also be a powerful tool to reduce healthcare costs and help with chronic disease and population health management.
Healthcare organizations are in varying stages of becoming social enterprises, from social innovators like Mayo Clinic to those beginning the journey to developing a comprehensive social media strategy.
In this perspective, we take a look at the evolution of social media in healthcare and discuss what social media in healthcare will look like in the future.
2. Introduction
During this period of uncertainty in social media engagement for the pharmaceutical
industry, AstraZeneca sought feedback on our submission to the Food and Drug
Administration (FDA) Call for Comments—not from the FDA—but from a variety of
active participants in social media. This white paper is a report of this feedback and
provides unique insights into the beliefs of various stakeholders about how
pharmaceutical manufacturers have engaged in social media and how they should
engage, while also suggesting approaches for FDA regulation.
While this is not a traditional ―white paper,‖ social media is not traditional media, and
it seems only appropriate that this paper is in many ways simply the continuation of a
broad conversation initially started in 2009 with the FDA‘s Public Hearing on
Promotion of FDA-Regulated Medical Products Using the Internet and Social Media
Tools.
Developing a White Paper on Social Media through Social Media
Through our response to the FDA Call for Comments submitted in February of 2010,
AstraZeneca had the opportunity to provide its views on the future of pharmaceutical
engagement in social media to help shape FDA‘s anticipated guidance. Certainly,
the forthcoming FDA guidance will have an impact on pharmaceutical engagement in
social media. However, participants in social media—general thought leaders in the
online, regulatory, health and industry sectors—will also have an important influence
on pharmaceutical engagement as well as being influential in shaping participation of
the pharmaceutical industry in social media.
While the pharmaceutical industry waits for clearer guidance from the FDA,
AstraZeneca has continued to refine its views by seeking feedback directly from a
cross-representation of online community participants on our submission to the
FDA‘s Call for Comments that contained both our principles and proposed regulatory
framework. This feedback guided this white paper that addresses expectations for
both the FDA and the pharmaceutical industry regarding the use of social media.
This white paper also contains a constructive review of AstraZeneca‘s social media
principles and proposed regulatory framework.
What is Social Media?
Social media is the catch-all term for internet activities that engage or encourage
engagement through online discussions or interactions. While static websites are
often the first ―online step‖ for many companies (e.g., homepages), the internet is
becoming increasingly about active engagement and interactions—whether through
blogs, microblogs (Twitter), listservs, chat rooms, forums, multimedia posting
(YouTube), or social networking (Facebook).
Health information remains a hot topic on the internet. A June 2009 study by the Pew
Internet & American Life Project found that 61 percent of American adults search
online for health information and that 41 percent of these ―e-patients‖ have read
someone else‘s commentary or experience about health or medical issues on an
2
3. online newsgroup, website or blog. These online health consumers gather, share
and use a range of tools when evaluating treatment options. The value of these
engagements is as varied as the sources of healthcare information – from restricted
physician group sites to alternative healthcare marketers to litigators. In many ways,
the internet remains a ―wild west‖ of information and misinformation.
Pharmaceutical Manufacturers & Social Media – Varied, Though Generally
Cautious, Approaches
While numerous industries have embraced these new communication channels –
including a wide variety of healthcare-related companies – pharmaceutical
manufacturers have remained cautious about their engagement in social media. The
industry‘s limited involvement can be attributed to two factors:
1) Established FDA regulations and guidelines and industry standards for
pharmaceutical marketing fail to adequately address the realities, both in terms of
opportunity and risk, presented by these new and fast evolving communication
channels; and
2) Inconsistent enforcement of existing rules in the online environment has left many
pharmaceutical manufacturers hesitant to fully engage in these important spaces.
Despite the lack of guidance and clarity, most major pharmaceutical manufacturers
engage in social media for product promotion, disease/health awareness and
corporate affairs purposes to varying extents.
FDA Call for Comments
In late 2009, the FDA announced its intention to issue guidance to companies on its
approach to regulating the promotion of FDA-regulated medical products on the
internet and through the use of social media tools. In preparation for this guidance,
the FDA held a public hearing from November 12-13, 2009 and simultaneously put
out a Call for Comments with a February 28, 2010 deadline. At the November
hearing, a range of online participants testified including patient groups, consumer
groups, trade association representatives and online content providers. As of the
date of this white paper, the guidance is still forthcoming.
AstraZeneca’s Response to the FDA Call for Comments
In the fall of 2009, AstraZeneca formed an internal Social Media Team to consider
the commercial, legal, policy, political, regulatory and safety implications of social
media engagement. The team began with a careful assessment of where
AstraZeneca currently was and where AstraZeneca wanted to go with its social
media activities. The AstraZeneca Social Media Team then set out to develop
principles that would be central to AstraZeneca‘s response to the FDA Call for
Comments. The principles were proposed as a high level roadmap to the FDA that
would underpin the specific guidance to be developed by the FDA and would,
together with an assessment of the regulatory environment and the risks and
benefits of any individual situation, guide AstraZeneca‘s engagement in social media
– whether related to corporate affairs, disease awareness or product promotion.
3
4. The five principles proposed by AstraZeneca are as follows:
To Ensure Truth and Accuracy. Guidance should direct product sponsors to
ensure that any content created, developed, or made available by them in
social media is truthful, balanced, accurate and not misleading.
To Be Respectful. Guidance should encourage product sponsor participation
that respects the interests of patients, caregivers and health care providers,
particularly related to matters of privacy and the primacy of the
patient/physician relationships.
To Protect and Advance Patient Health. Guidance should facilitate patient
access to quality information that they can use with their physician to improve
their health and protect through encouraging accurate and timely reporting on
medicine safety.
To Be Transparent. Guidance should require that any product-sponsored
participation be accomplished in a manner that, at all times, is entirely
transparent to other participants about the product sponsor‘s role in the online
discussion.
To Respect the Views of Others. Guidance should respect that patients,
caregivers, clinicians and others who participate in social media have their
own opinions and that, when they differ from those of the product sponsor, it
is not the role of a product sponsor to censor or limit these views but to add
the product sponsor‘s own views to the discussion.
In addition to these principles, AstraZeneca also recommended that the FDA
consider a regulatory framework that defines, distinguishes and distinctly regulates
three types of communications on the internet and in social media. The framework
would tie pharmaceutical manufacturer accountability for web content to its control
over the content. The proposed framework is based on the following categories:
Company-controlled, hosted online communications. Such communications
would be defined as communications placed on websites and other online
properties that are under the control of a product sponsor. Pharmaceutical
manufacturers would have the most accountability for this type of activity.
Company-controlled communications. Such communications would be
defined as communications that a product sponsor places or provides for use
by websites and other online properties that the sponsor does not control and
where such communications are used in the form, manner and context for
which the sponsor provides it. Pharmaceutical manufacturers would be held
responsible for the content provided.
Real-time, social media participation communications. Such communications
would be defined to include company real-time, social media interactions on
websites and online forums that are not company controlled. Such
communications typically occur in chat areas, comment areas or as an
4
5. integral part of the website operation. This would have the least level of
accountability for pharmaceutical manufacturers.
Stakeholder Feedback
Given the interactive nature of social media, developing a white paper built on
discussion and feedback seemed most appropriate. AstraZeneca began the dialogue
through two interactive sessions in fall 2010 – one in New York and one in
Philadelphia.
―That‘s the crux of why we‘re here, because
AstraZeneca really wants to learn from you and hear
your views on how we can continue to advance the
conversation, advance engagement, as well as hear
your views on OUR views.‖ – AZ representative
AstraZeneca’s Social Media Roundtable & Digital Pharma East
On October 14, 2010, AstraZeneca held a roundtable focused on ―Examining the
Roles of the FDA and the Pharmaceutical Industry in Social Media‖ in New York.
The meeting was facilitated by Google Health and participants included a number of
influential health bloggers and online thought leaders. The meeting sought specific
feedback on AstraZeneca‘s principles and regulatory framework and included an
open and frank discussion about the role of the FDA and the pharmaceutical industry
in social media.
A few days after the roundtable, AstraZeneca raised these discussion points at a
broader gathering of health bloggers and digital stakeholders at Digital Pharma East
(DPE) in Philadelphia. Once again, participants shared their opinions about the FDA
and pharmaceutical manufacturer engagement in social media.
The remainder of this white paper summarizes and addresses key discussion points
that stemmed from both the Social Media Roundtable and DPE. The paper will
conclude with AstraZeneca‘s key messages and actions that will help define our path
forward in the digital space.
Key Discussion Points
Early on in the group discussions at both meetings, two themes emerged and were
revisited with some frequency:
Social media is a fundamental part of advancing public health; and
Pharmaceutical manufacturers have a responsibility to engage more fully in
social media.
These two themes were evident in the discussions and are set out in more detail in
the key points below that revolved around both the role of the FDA as social media
regulator and the role of the pharmaceutical manufacturer as an information provider
and information seeker in social media.
5
6. The Role of the FDA
Participants1 at both the roundtable and DPE turned first to the role of the FDA,
discussing its mission and goals, and identifying several considerations for the FDA
in its development of social media guidance. Key discussion points and
recommendations included the following:
New Media. The FDA should recognize that social media is a new
communication channel that both distinguishes and can appear to
intermix the dissemination of information and advertising in the digital
space.
Participants defined social media as a unique forum for online dialogue that
ultimately requires a specifically tailored, yet sufficiently flexible regulatory
approach. To appropriately regulate in this space, the participants noted that
the FDA should acknowledge that existing rules may not always work for new
or emerging technologies and communication channels. They also
encouraged the FDA to be flexible in their approach – to allow for adjustments
to address not just the demands of technology, but that also consider the
evolving needs of other stakeholders, including patients and caregivers.
FDA Mission. The FDA’s mission includes protecting drug safety and
promoting public health, two aims that pharmaceutical manufacturers
are in a position to help with when it comes to social media.
Participants were generally comfortable with the FDA‘s role as a regulator in
social media, but would encourage the agency to work more closely with
those impacted by their regulatory efforts. Arguably, drug manufacturers are
in the best position to provide accurate and thorough information about their
medicines. Yet, there is a lot of ―bad‖ information – including inaccurate or
misleading information – that affects all web users that come from sources
other than manufacturers. Participants felt strongly that it would behoove the
FDA to work with the pharmaceutical industry to help balance the ―bad‖
information. In other words, pharmaceutical manufacturers can be a valuable
source of accurate information that can help clear up confusion and promote
better public health.
―Because let‘s face it, before there was online information, you
went to a pharmacy, you picked [prescriptions] up, you may or
may not have read your insert. You may or may not have
understood what it said. So, I think they [FDA] are starting to
look at that [social media] and say ‗Wow, patients are actually
interacting with safety information in a much more effective
way…‘‖ – Roundtable participant
1
―Participants‖ refers to attendees at both the Social Media Roundtable in New York City and Digital
Pharma East in Philadelphia.
6
7. Shades of Gray. Regulating social media will mean the FDA will find
itself addressing many ―shades of gray.‖
Social media does not always lend itself to black and white decision making in
determining what should be permissible and acceptable for online
engagement. Participants agreed that the FDA should recognize that not
everything in social media is easily categorized and allow for a ―gray zone‖ in
how pharmaceutical manufacturers engage in this space. In other words, the
FDA should consider being flexible in its approach and application of
regulations.
―[The FDA is] not quite sure where the
gray zone is between what exists
between regulated speech and
unregulated speech.‖ – Roundtable
participant
Patient/Caregiver Voice. Patients/caregivers have emerged as major
players in social media both as providers and seekers of information.
Participants recognized that the emergence of the patient/caregiver as a key
player in social media is game-changing in how information is sought,
provided and shared in the online environment. Given the perspective of the
patient/caregiver as having both a desire and right to accurate information on
pharmaceutical products, this should be a critical factor for the FDA to
consider when regulating in this space. More than ever, patients are seeking
more individual control over their health and desire more in-depth information
about their health to enable them to make informed decisions.
―…the FDA‘s new role should be to promote the
conversation instead of strapping or blocking it.‖
– Roundtable participant
―The FDA has to change the way they think of
regulations. You now have millions of people that are
really empowered and…[the FDA should not]…treat us
as if we are people who don‘t understand anything about
science, about treatment.‖ – Roundtable participant
Shared Dialogue. The FDA should be encouraged to engage with the
pharmaceutical industry to help them research and resolve issues
raised in social media.
Social media by its nature is interactive and participants considered that
perhaps the FDA should embrace the interactive nature of social media in its
own engagement with pharmaceutical manufacturers by acting as a sounding
board for new ideas and the development of best practices. For example,
participants discussed the benefits of the FDA‘s encouraging ―best practices‖
among pharmaceutical manufacturers by providing guidance not just when
7
8. companies overstep or make mistakes in their online engagements, but when
companies are acting appropriately.
The Role of Pharmaceutical Manufacturers
In addition to sharing their perspectives on the FDA‘s role, participants also
discussed their perspectives on the role of pharmaceutical manufacturers in social
media. Key discussion points and recommendations included the following:
Ongoing Dialogue. Social media is a two-way opportunity for
communication between pharmaceutical manufacturers and
patients/caregivers.
As discussed earlier, many pharmaceutical manufacturers have been
reluctant to engage in social media in the absence of a focused FDA
guidance. While participants had varying degrees of understanding as to why
pharmaceutical manufacturers are at times reluctant to engage in social
media, they agreed that social media could be viewed as an opportunity for
the pharmaceutical industry to engage in a positive way with individuals who
take their products. There was also a belief that the pharmaceutical
manufacturers were likely in the best position to know the most about their
own products and patients want them to share their knowledge.
Participants also noted that pharmaceutical manufacturers should be more
transparent about their decisions to engage or not engage in social media. If
the decision to not engage in social media is because of uncertainty related to
regulatory action, patients/caregivers want to know that..
―… [pharmaceutical manufacturers should]
collectively help consumers understand a little bit
better why they are and aren‘t engaging in certain
places.‖ – Roundtable participant
Mutual Agreement/mutual Benefit. Pharmaceutical manufacturer
engagement in social media should be based on mutual agreement and
mutual benefit with patients/caregivers.
Social media may be an opportunity for pharmaceutical manufacturers, but it
could be a lost opportunity if the pharmaceutical industry does not take the
time to ask and understand what patients/caregivers want and expect from
this type of engagement. Participants urged pharmaceutical manufacturers to
consider implementing a process for seeking ongoing feedback from
patients/caregivers as the industry continues to change and tweak its social
media engagements. From this process – whether an informal survey or
formal advisory panel – participants saw this as an important means of
helping the pharmaceutical industry determine the best way to engage in this
space in the best interests of patient health.
―The business [for pharmaceutical manufacturers] is providing
value to patients and doing marketing that has more
relevance and listening to what‘s going on and understanding
what our patients‘ lives are really like, what unmet needs they
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have, what concerns they have that aren‘t being answered by
the channels that we‘re pushing out in. That‘s the business.‖
– Roundtable participant
9. Policies. Pharmaceutical manufacturers should develop social media
and ethics policies that best reflect their understanding of why they are
engaging in social media.
Participants encouraged pharmaceutical manufacturers to assess their intent
to become active using social media and whether it was for product
promotion, enhancing corporate reputation or advancing public health. From
there, companies can—and should—develop policies that are transparent,
practical and in the best interests of patient health.
Adverse Events. Pharmaceutical manufacturers should be explicit about
their policies for monitoring and addressing adverse events.
Pharmaceutical manufacturers must report adverse events to the FDA when
there is an identifiable patient, reporter and suspect drug. However, these
current requirements cannot always be neatly applied in social media and
pharmaceutical manufacturers are often uncertain as to requirements for
handling safety data that appears in this media.
Participants called for pharmaceutical manufacturers to have explicit policies
for monitoring and addressing adverse events that are transparent and clear.
This was viewed as a necessity for the pharmaceutical industry given the
opportunity social media presents for the early identification of adverse
events.
―I speak with the regulatory lawyers from all of the major
pharmaceutical companies. I can tell you I‘ve never
heard this statement—‗we don‘t want to hear adverse
events.‘ There‘s a thirst for more precision in the
requirements.‖ - Roundtable participant
Participant Feedback
In addition to general discussion about the roles of the FDA and the pharmaceutical
industry in social media, participants were asked for specific feedback on two
aspects of AstraZeneca‘s submission to the FDA Call for Comments: AstraZeneca‘s
principles and recommended regulatory framework.
Principles
AstraZeneca‘s five principles set forth above were viewed as a good starting
point for appropriate pharmaceutical manufacturer engagement in social
media. However, participants also considered the principles as more of a
floor, rather than a ceiling, and encouraged AstraZeneca to be open to
revisiting our principles as social media continues to evolve.
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10. Regulatory Framework
The FDA‘s Call for Comments specifically requested information related to the
pharmaceutical industry‘s ability to meet current regulatory requirements
given the unique challenges presented in social media engagement.
AstraZeneca‘s suggested regulatory framework was intended to suggest a
pharmaceutical manufacturer‘s level of accountability for web content based
primarily on the manufacturer‘s level of control over the content and the site.
While participants tended to agree to the link between content control and
accountability, they believed that AstraZeneca‘s suggested categories should
be reframed and recommended an alternative regulatory framework to the
one proposed in AstraZeneca‘s submitted comments to the FDA (see above).
The categories are very similar, but more specific than the ones put forth by
AstraZeneca. In particular, the participants‘ proposed categories are as
follows:
Company-controlled websites that offer the total brand experience;
Moderated/curator-led sites;
―Join/Integrate‖ options – such as Facebook;
―Dialogue participation‖ – true social media communities; and
Closed forums.
Participants reasoned that manufacturers should be responsible for any content
located on company controlled sites and third-party sites on which they act as
moderator or maintain a company page. In categories where manufacturers exert
less or no control and/or influence, such as ―true social media communities‖ or
closed forums, then they should not be responsible for content.
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11. AstraZeneca: Creating a Path Forward
AstraZeneca believes that we have an obligation to participate in social media in a
responsible way to help educate patients, caregivers, health care providers and the
general public. Our active participation can provide information to help ensure that
patients get the appropriate medicine at the right time and that it is taken in the right
way.
As we await FDA guidance and determine the appropriate path forward for
AstraZeneca, outreach to other individuals who engage in this arena – patients,
caregivers, health bloggers, media stakeholders – simply makes sense; it has helped
inform and shape AstraZeneca‘s perspective on key issues.
For AstraZeneca, this white paper is about determining how a pharmaceutical
manufacturer can best begin and continue an ongoing dialogue in social media,
while keeping the focus squarely on what is in the best interests of patient health.
With that in mind, here are AstraZeneca‘s key action steps that are a direct result of
this engagement:
AstraZeneca’s Social Media Principles Will Stay in Place—For Now.
Given the positive feedback from the roundtable and DPE participants,
AstraZeneca does not currently intend to modify our five principles. While
some participants recommended that the principles be tailored to specific
social media platforms, AstraZeneca has decided to maintain the more
generalized approach to allow for greater flexibility.
However, as suggested, AstraZeneca will establish a process for a regular
review of the principles to allow for revisions based on, among other things,
changes in technology and/or patient and other stakeholder expectations.
Proposed Regulatory Framework Will be Reviewed.
AstraZeneca will consider revising its proposed regulatory framework to
better align with how information is provided and presented online. This
includes considering the alternative categories presented by participants at
the roundtable.
Patient Advisory Panel is Under Consideration.
When asked directly whether AstraZeneca currently engages patient groups
as a means of seeking feedback on our social media engagements, we
recognized immediately the opportunity for action. Certainly, the formation of
a patient-focused advisory panel could be instrumental in identifying
opportunities and challenges from the patient perspective.
AstraZeneca has already taken some preliminary steps to investigate how
such a group would be established as well as setting forth expectations for all
participants.
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12. Conclusion
In developing this white paper, AstraZeneca has bolstered its belief that the
pharmaceutical industry‘s continued engagement in social media when done
appropriately is in the best interests of patient health. The determination of what is
appropriate will be a continuous challenge for all participants in social media, even
after the FDA guidance is released. We are hopeful that using guidelines such as
AstraZeneca‘s Social Media Principles will be useful tools for AstraZeneca and for
others who choose to engage in the discussion.
AstraZeneca would like to thank the following individuals for taking the time to
provide their unique perspectives and thoughtful insights that are the foundation of
this white paper:
Alex Baldwin, Executive Vice President and General Counsel, HealthCentral
(www.HealthCentral.com)
Alicia Staley, Founder, The Staley Foundation
Amy Cowan, Head of Industry, Health, Google
Christopher M. Schroeder, Chief Executive Officer, HealthCentral
(www.HealthCentral.com)
Diedtra Henderson, Director Communications & Public Affairs, PhRMA
Earl Whipple, Senior Director, Corporate Communications, AstraZeneca
Gilles Frydman, Founder, Association of Cancer Online Resources
Jeanine Boyle, Senior Director, Federal Policy, AstraZeneca
Jeffrey K. Francer, Assistant General Counsel, PhRMA
Jonathan Richman, Director of Social Media, Bridge Worldwide
Leigh Householder, Digital Strategist, Pink Tank and iQ inside GSW
Worldwide
Mark Bard, President, Manhattan Research
Mary Ann Belliveau, Health Industry Director, Google
Melissa Davies, Strategic Account Director, Healthcare at NM Incite, a
Nielsen/McKinsey company
Peter Pitts, President, Center for Medicine in the Public Interest
Shannon Paul, Social Media Manager, Blue Cross Blue Shield of Michigan
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13. We are hopeful AstraZeneca‘s approach to engagement and intention to continue to
engage in social media will convey the importance of facilitating industry participation
in social media in a meaningful way while best positioning pharmaceutical
companies like ourselves as continued trusted sources of information on our
products.
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