Post on 01-Dec-2015
Attachments
• The attachments tab contains documents that supplement the presentation.
• The slides are available as an attachment to print out to use as a handout for the presentation.
• “Show Me the Evidence” has a list of additional resources on evidence-based drug information and industry marketing.
Program Funding
This work was made possible by a grant from the state Attorney General Consumer and Prescriber Education Program which is funded by the multi-state settlement of consumer fraud claims regarding the marketing of the prescription drug Neurontin.
Continuing Education Sponsors
Continuing Medical Education for the following activity titled “Pharmaceutical Industry Marketing
and Influence”, is jointly sponsored by The University of Texas Southwestern Medical Center
and the Federation of State Medical Board’s Research and Education Foundation.
Program Speaker/Author: Dean Haxby, PharmD
Course Director: Barbara S. Schneidman, MD, MPHFederation of State Medical Boards Research and Education Foundation, SecretaryFederation of State Medical Boards, Interim President and Chief Executive Officer
Program Directors: David Pass, MDDirector, Health Resources Commission, Oregon Office for Health Policy and ResearchDean Haxby, PharmDAssociate Professor of Pharmacy Practice, Oregon State University College of Pharmacy Daniel Hartung, PharmD, MPHAssistant Professor of Pharmacy Practice, Oregon State University College of Pharmacy
Target Audience: This educational activity is intended for health care professionals who are involved with medication prescribing.
Educational Objectives: Upon completion of this activity, the participants should be able to: describe the purpose and expenditures for various marketing strategies and the impact on prescribing; outline techniques pharmaceutical representatives use to influence clinicians; identify strategies clinicians can use to reduce impact of marketing; describe the role of samples in marketing and the impact of samples on prescribing; identify drug sample regulatory requirements and options to improve sample use; summarize research findings on the impact of direct-to-consumer advertising of prescription drugs; identify potential conflicts of interest.
CME Information
CME PoliciesAccreditation: This activity has been planned and implemented in accordance with the Essential Areas & Policies of the Accreditation Council for Continuing Medical Education through the joint sponsorship of The University of Texas Southwestern Medical Center and the Federation of State Medical Boards Research and Education Foundation. The University of Texas Southwestern Medical Center is accredited by the ACCME to provide continuing medical education for physicians.
Credit Designation: The University of Texas Southwestern Medical Center designates this educational activity for a maximum of 1.5 AMA PRA Category 1 Credits™. Physicians should only claim credit commensurate with the extent of their participation in the activity.
Conflict of Interest: It is the policy of UT Southwestern Medical Center that participants in CME activities should be made aware of any affiliation or financial interest that may affect the authors presentation. Each author has completed and signed a conflict of interest statement. The faculty members’ relationships will be disclosed in the course material.
Discussion of Off-Label Use: Because this course is meant to educate physicians with what is currently in use and what may be available in the future, “off-label” use may be discussed. Authors have been requested to inform the audience when off-label use is discussed.
DISCLOSURE TO PARTICIPANTS
It is the policy of the CME Office at The University of Texas Southwestern Medical Center to ensure balance, independence, objectivity, and scientific rigor in all directly or jointly sponsored educational activities. Program directors and authors have completed and signed a conflict of interest statement disclosing a financial or other relationship with a commercial interest related directly or indirectly to the program.
Information and opinion offered by the authors represent their viewpoints. Conclusions drawn by the audience should be derived from careful consideration of all available scientific information. Products may be discussed in treatment outside current approved labeling.
FINANCIAL RELATIONSHIP DISCLOSURE
Faculty Type of Relationship/Name of Commercial Interest(s)
David Pass, M.D. NoneDean Haxby, Pharm.D Employment/CareOregonDaniel Hartung, Pharm.D., MPH NoneBarbara S. Schneidman, MD, MPH None
Learning Objectives1. Describe the purpose and expenditures for various
marketing strategies and the impact on prescribing2. Outline techniques pharmaceutical representatives use
to influence clinicians3. Identify strategies clinicians can use to reduce impact of
marketing4. Describe the role of samples in marketing and the impact
of samples on prescribing5. Identify drug sample regulatory requirements and
options to improve sample use6. Summarize research findings on the impact of direct-to-
consumer advertising of prescription drugs7. Identify potential conflicts of interest
Important Contributions by the Pharmaceutical Industry
• Development of new treatments that improve health and well-being
• Make substantial contributions to educational, health care and professional organizations
• Provide indigent care programs
Pharmaceutical Manufacturers
• Are for-profit companies• Primary mission is to increase share holder
value• This is accomplished by:
– developing new products – successfully marketing those products– having an effective lobby to protect and
advance their interests
2007 Fortune 500 ProfitsJ & J 21%
Pfizer 37%
Merck 20%
Abbott 8%
Wyeth 21%
BMS 9%
Eli Lilly 17%
Amgen 21%
Schering 11%
Pharmaceutical Industry • One of the most profitable industries in the
US• Industry advocates argue these profits are
justified because:– Required to support R & D– Tremendous value of medications– High risk of the industry
• A report by Tufts University says it costs $802 million to bring a drug to market
Industry Critics
• Profits are excessive• Drug development cost figures grossly inflated
– exclude tax deductions/credits, include capital opportunity cost (1/2 of total), skewed sample of drugs, industry figures not verifiable
• Government funds much of critical research on new drugs
• Uninsured cannot afford medications
Pharmaceutical Industry Marketing
• A key to industry profitability• Highly effective• Very sophisticated• Multi-pronged campaigns targeting
clinicians and patients
Pharmaceutical IndustryPromotion & Marketing
Source: N Engl J Med 2007;357:673-81.
2005 Dollars
Professional Advertising
DTC
Detailing
Samples
$0
$5,000
$10,000
$15,000
$20,000
$25,000
$30,000
$35,000
1996
1997
1998
1999
2000
2001
2002
2003
2004
2005
Samples
Detailing
DTC
Professional Advertising
Year
Exp
en
ditu
re ($
mill
ion
s)
Annual Increase in US Prescription Drug & Total Health Expenditures
9%
8% 8%7% 7%
13%
17%17%
16%15%
11%
9%
6%
9%
9%
12%
10%
7%
6% 5% 5% 5% 5% 5%6%
9%
12%13%
11%
8%
6% 7%
11%11%
0%
2%
4%
6%
8%
10%
12%
14%
16%
18%
20%
1990 1992 1994 1996 1998 2000 2002 2004 2006
Rx Drugs
Health
Annual % Change
Expenditures by Type of Marketing 2004 ($ Billions)
IMS CAM Total Percent
Samples 15.9 6.3 15.9 28%
Detailing 7.3 20.4 20.4 36%
DTCA 4 4 4 7%
Meetings No data 2 2 3%
E-promo. No data 0.3 0.3 0%
Journals 0.5 0.5 0.5 1%
Unmonitored No data 14.4 14.4 25%
Total 27.7 47.9 $57.5
Pharmaceutical Representatives
• Still the major focus of pharmaceutical marketing• Approximately 100,000 reps in 2005 vs 38,000 in
1995• 1 rep per 6 MDs in US and 1 rep per 2.5 targeted
MDs • 6 million detail visits annually• Cost estimate $12 - $13 thousand per MD on
detailing (IMS data)• PhRMA:”serves an essential function in the health
care delivery system”
Characteristics of Representatives
• Presentability/appearance• Outgoing personality• Excellent interpersonnal skills• Assertive
Representative Training
• How to be observant and assess clinician personalities
• How to adjust approach based on reactions and profile information
• How to gather and use personal information to establish a connection
• How to monitor impact of various marketing strategies on prescribing
How Representative Can Tailor Approach
• Friendly clinician
• Skeptical clinician
• High prescribers
• Frame interactions as gesture of friendship
• Use literature, humility, appeal to their “high intellect”
• Make best effort to establish personal connection, best gifts
How Representaive Can Tailor Approach
• Clinician prefers competing product
• Refuses to see reps
• Thought leaders
• Find out why, try to capture a niche
• Try to work through office staff, can get useful information
• Friendly thought leaders groomed for speaking circuit. Monitor impact of local talks and their allegience
Targeted Clinicians
• High volume prescribers• Specialists: scripts they initiate can continue
for years by PCPs• Opinion leaders • Low volume, non-influential clinicians
receive much less attention
Physician Rating of Rep Information Usefulness
0%
10%
20%
30%
40%
50%
60%
Very Somewhat Not VeryUseful
Not at All No Answer
Physician Rating of Accuracy of Representative Information
0%
10%
20%
30%
40%
50%
60%
70%
80%
Very Somewhat Not Very Not at All No Answer
Stages of Rep/Provider Interactions
• Acknowledgement of relative status– Valuable time, opinion leader
• Find out what is known• Outline benefits of product
– Expert name drop• Provider resistance• Reinforcement of role
– Compliments, sympathy• Closure: ensure opportunity for return, gifts,
obligation
Benefits to Provider
• Pleasant respite from workday demands• Someone who is “impressed” with their “superior
knowledge”• Can be object of flattery and sympathy
– Psychological benefits• Receipt of gifts• Can present themselves as skeptic
– Questions information, doesn’t agree to prescribe• Can feel like they were in control
Representative Goals
• Develop positive relationship• Opportunity for future contact• Create a sense of obligation• Control agenda• Promoting product appears secondary in
many interactions
Influence on Prescribing
• Studies show that prescribing is influenced by industry representatives
• Higher cost, less rational prescribing is associated with:– Frequency of use of representatives as an information
source– Perceived credibility of representative
• Even a few minutes of contact can impact prescribing
Perceived Influence of Pharmaceutical Reps
0%
10%
20%
30%
40%
50%
60%
70%
You Other MDs
NoneA LittleA Lot
Physician/Drug Representative Meetings
Specialty Meetings/Month
Family Physicians 16
Internal Medicine 10
Cardiology 9
Pediatrics 8
Surgeons 4
Anesthesiology 2
Physician Industry Relationships
Benefits % Reporting
Samples 78%
Gifts 83%
Travel/CME funding 35%
Payments 28%
Any Relationship 95%
Physician Factors Associated With Receipt of Payments
• Practice with < 25% Medicaid/uninsured• Private practice
– Less likely in hospital/HMO setting• University/Medical School• Role as a preceptor• Developer of clinical guidelines• Cardiology specialty (of the six specialties
studied)
Physician Interactions With Detailers
• Physicians are aware of potential conflicts• Interactions are welcomed• Reps described as:
– Pleasant– Friendly– Helpful
Methods to Deal With Potential Conflict of Interest
• Eliminate the conflict– Can be difficult and painful
• Rationalization– “Its educational”– “Patients need samples”
• Denial– “It doesn’t influence me”– “I take it with a grain of salt”
Clinician Marketing Data
• One of best market research systems in the world
• Manufacturers have extensive data• Collect information from pharmacies,
PBM’s, AMA and Government• Can track impact of different strategies• Profiles help target efforts
AMA Master File
• Has been sold to industry for decades• Contains physician identifier data that can be
linked to other prescribing data• Generated 16% of AMA revenue in 2005• Due to member concerns, a new “opt out” option
allows individual physicians to request that companies not share their individual data with representatives
• Most doctors do not know about the program and few have signed up (<1%)
How to “Opt-out”
• Physicians can enroll by going to the following website: – www.ama-assn.org/go/prescribingdata
• Purchasers of the data must agree to restrict prescriber profiling by reps for those who have opted out
• Must be renewed every three years and manufacturers have 90 days to comply after requesting the opt-out
Conclusions on Representative Marketing
• Industry invests billions on detailing• Most prescribers meet with representatives• Representatives are skilled at developing
relationships with and influencing clinicians• Meetings with representatives are
associated with less rational prescribing and increased costs
• Most physicians feel they are not influenced
What Can Clinicians Do?
• Reduce or eliminate contact with industry representatives– “Just say no”
• Identify and use unbiased and independent sources of prescribing information– Medical letter, prescribers letter, cochrane data-base of
systematic reviews, Oregonrx.gov– See the document in attachments for sources of
evidence-based drug information
• Opt-out to limit use of AMA master profile
Drug Samples
• A major marketing strategy• An estimated $18 billion (retail value)
distributed in 2005 • Estimated use: 10-20% of patient
encounters• Primary industry goals :
– Influence prescribing habits/get patients on med– Representative access, a reason to visit
Trends in Retail Value of Sample Distribution
024
68
1012
1416
1820
1996 1998 2000 2002 2004
Retail Value $ Billions
Arguments for Samples
• A source of medications for the indigent• Reduces cost to patient• Provider can test effectiveness and
tolerability before committing patient to long term use
• Prescribers can gain experience with a product
Arguments for Samples
• Can start therapy immediately• A way around formulary or PA
requirements• Can assist with patient instruction• Improves patient satisfaction• Enhances patient-provider relationship / gift
giving
Arguments Against Samples
• Loss of pharmacist review/counseling• Clinician unfamiliarity may increase chance
of medication errors• Sub-optimal treatment choices may be
made• Labeling/documentation is often deficient• Storage concerns
– Environment– Security
Arguments Against Samples
• Estimated that only about half reach patients
• Ethical concerns with personal use by providers
• Only branded expensive drugs are sampled which increases overall cost of care
• Inconsistent supplies for indigent patients
Survey of Sample Use
• 12% of Americans received samples• 13% of patients with insurance received samples• 10% of the uninsured received samples• 72% of sample users were above 200% of the
federal poverty level • 82% of sample users had health insurance the
entire year while 18% were uninsured at least part of the year
Sample Use in Pediatrics
• 4.9% of children received samples in 2004• 10% of those receiving a prescription
medication received samples• 84% went to patients with insurance the
whole year• Over 500,000 children received drugs that
were subsequently subject of serious safety concerns
Samples Influence on Prescribing
• Randomized 29 Internal Medicine residents to a no sample and sample group
• No sample group was:– Less likely to use an advertised brand drug– Trend towards less expensive drugs
Samples Influence on Prescribing
• Studied 32 family medicine resident and faculty physicians prescribing for hypertension before and after a ban on samples
• Prescribing of first-line agents increased from 38% to 61%
• Impact was greatest on residents
Other Research on Sample Use
• In a physician survey of the effect of sample availability on prescribing, it was concluded that sample availability influences choice of drug and can lead to suboptimal drug selection (J Gen Int Med 2000;15:478-83)
• Samples are frequently used by clinicians or their family members; and by office staff: in one clinic the retail cost of samples taken was $10,000 (JAMA 1997;278:141-3)
Sample Impact on Cost and Continuation
• Patient out-of-pocket costs increased 47% (p<0.001)
• Total Rx costs increased 38% (p< 0.0001)• The odds of continuing the same
medication was dramatically lower after receipt of a sample than a prescription: OR, 0.22 (CI 0.08 – 0.65)
Conclusions on Drug Samples
• Samples are a major marketing tool– Reps gain access
• Sample use can lead to higher costs for both patients and the health care system
• Sample use may compromise the quality of prescribing
• Samples are less likely to go to the uninsured
Prescription Drug Marketing Act (PDMA)
• Due to abuse, sample regulations were implemented in 1987 (PDMA)
• Applies to manufacturers• Manufacturers must keep records of sample
distribution• Requires signed requests by prescribers• Requires appropriate storage conditions
JCAHO Sample Requirements
• Applies to hospitals and health-systems• Same standards as non-sample medications• Written policies and procedures• Proper, secure storage, regular inspections• Labeled and dispensed like other meds• Documentation same as other orders• An effective recall mechanism
Strategies to Improve Sample Use
• Apply JCAHO requirements• Develop sample formulary
– Consider use of generic samples • Clinics can ban samples
– No Free Lunch has developed a patient education leaflet entitled “Why we don’t have free samples”
– It is available for download free of charge at www.nofreelunch.org
– Helps to support clinics that choose not to accept samples
Direct to Consumer (DTC) Advertising
• Advertising directly targeting consumers• In 1997, the FDA relaxed regulations• Eliminated requirement to list all side-effects
– Allowed referral to another source of information such as a toll free number or website
• The US and New Zealand are the only developed countries to allow DTC advertising for Rx drugs
Vytorin (Merck/SP)$155 Million (2005)
Nexium (AstraZeneca)$224 Million (2005)
Source: Donohue JM. NEJM. 2007;357:673-81; *WSJ Oct 7, 2005; **WSJ Apr 16, 2004
Lunesta (Sepracor)$214 Million (2005)
Coke Classic $146 Million (2004)* Bud Light
$136 Million (2003)**
Direct-to-Consumer Expenditures
PhRMA Position on DTC Ads
• Serves to improve public health– Prompts people to seek care– Promotes informed discussions– Provides useful information to consumers
• Improves compliance• Physicians are in control, thus it won’t lead
to inappropriate prescribing
Public Citizen Position on DTC
• Promotion not education• Ads increase demand for newer more
expensive products, thus increase costs• Physician gate-keepers susceptible to
marketing• Can stimulate inappropriate use• Can harm doctor-patient relationship• FDA is grossly understaffed to regulate
Systematic Review of DTCA
• Patients who request a drug are 16x more likely to get it
• DTCA campaigns significantly increase trend of Rx volume of targeted drugs
• DTCA campaigns can increase new diagnoses• Concern about risks of treating minor conditions• To date no studies of patient satisfaction or health
outcomes
Kaiser Family Foundation Study
• 30% of adults have talked to their doctor as a result of seeing a drug ad
• 44% of these individuals were prescribed the drug they asked about
• Showed TV ads for Nexium, Lipitor and Singulair
Kaiser DTC Study Results
• Ads prompt patients to talk with their provider• Those with greatest health needs most likely to
take action– 25% without condition would discus further
• Educational ability is mixed– Patients can identify condition, drug name, and need to
see doctor; but most felt they knew little or nothing more about the condition or drug
– Many subjects could not recall side effects or where to get additional information
Clinician Response to DTCA Based Medication Requests
• Survey of PCPs comparing clinician responses to a request for more information based on DTC ad vs. a reference book
• Requests based on DTC adds:– Were more likely to become annoyed– Less likely to answer questions– Less likely to provide written information
Survey Respondents Response to a Hypothetical Denied Request
• 46% thought they would be disappointed• 25% would try to change prescribers mind• 24% might try a different doctor• 15% thought they would switch to a new
doctor
Influence of Patient Requests on Antidepressant Prescribing
• 298 physician visits by standardized pts• Patients presented with symptoms of two
conditions: major depression, adjustment disorder
• Divided into three groups– Asked about Paxil– Asked about antidepressants in general– No mention of drug therapy
Influence of Patient Requests on Antidepressant Prescribing
• Major Depression %Rx % Rx Paxil– Asked about Paxil 53% 52%– Asked about antidep. 76% 3%– No med inquiry 31% 13%
• Adjustment Disorder– Asked about Paxil 55% 67%– Asked about antidep 19% 26%– No med inquiry 5% 0%
DTC Model
• Advertising increases awareness of condition and treatment
• Awareness motivates patients to seek care or treatment
• Requests lead to increased prescribing• DTC essentially adds patients to the
manufacturers sales force
Common Patient Misperceptions
• Many think DTC ads are reviewed and approved by the FDA before an add is released
• Some patients think DTC advertised drugs are completely safe and only highly effective agents are advertised
DTC Advertising Conclusions
• DTCA works to increase sales• There is a substantial return on investment for
manufacturers• While DTCA can increase the rate of treatment,
research shows there is potential for increases in both appropriate and inappropriate treatment
• Policies are needed to mitigate risks of DTCA in the US
Common Techniques Used in Ads
• Drug touted as unique, new or first• Appeal to authority• Bandwagon appeal• Appeal to celebrity• Appeal to fear
Disease Mongering• Strategies to expand markets• Promotional campaigns change the way people think about
common ailments– Menopause becomes hormone deficiency– Shyness becomes social anxiety disorder– Acid indigestion becomes gastroesophageal reflux disease
• Lowering thresholds for treating common conditions• The US has 5% of the worlds population yet accounts for
50% of drug consumption• For an entertaining video that provides a hypothetical
example, go to www.youtube.com and search for motivational deficiency disorder. Click on a new epidemic.
Regulation of Marketing
• FDA responsible for oversight, not Federal Trade Commission (FTC)
• Research suggests journal ads often do not meet all FDA requirements
• FDA does not have adequate staff• FDA’s power is limited • Impossible to regulate what reps say
Industry Sponsored CE Programs
• Industry invests heavily in educational programs as part of their overall marketing plan
• $2.4 billon spent on CME in 2006– 712,163 hours of education– 61% supported by commercial sources
• It may be very difficult to critically evaluate information provided
Assessing Bias in Commercially Supported CME
• Disclosure: Required whether COI present or not• Branding• Ideally should present levels of evidence• Favorable presentation of data, especially using
low level evidence• Watch out for verbiage suggesting weak evidence:
“its possible”, “may be”, “in my experience”• Unapproved use of products
– Off-label drug use must be clearly identified
Questions to Ask
• Why am I attending?
• Are there better sources of information?
• Will I be able to critically evaluate this information?
Conclusions
• The primary mission of a pharmaceutical company is to generate profit and increase shareholder value
• Effective marketing helps companies achieve their mission
• Enormous amounts are expended in the marketing of prescription drugs, primarily for detailing, samples and DTCA
• Industry marketing is sophisticated, influential and impacts health professionals decision making
Conclusions
• Industry marketing can lead to sub-optimal prescribing• Current marketing practices are controversial and opinions
vary depending on ones perspective• Clinicians can make choices to avoid undue influence• Using unbiased and evidence-based sources of drug
information and avoiding commercial sources as much as possible is an important step
• Consider signing up for the AMA opt-out program to prevent detailers from using your individual prescribing data at www.ama-assn.org/go/prescribingdata
Thank you
This work was made possible by a grant from the state Attorney General Consumer and Prescriber Education Program which is funded by the multi-state settlement of consumer fraud claims regarding the marketing of the prescription drug Neurontin.
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