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Skin Care Products: Claim Substantiation

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Skin Care Products: Claim Substantiation & Clinical Testing Barbara Dvoracek Senior Research Scientist Kimberly-Clark Corporation Benedictine University – PowerPoint PPT presentation

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Title: Skin Care Products: Claim Substantiation


1
Skin Care ProductsClaim Substantiation
Clinical Testing
  • Barbara Dvoracek
  • Senior Research Scientist
  • Kimberly-Clark Corporation

Benedictine University Cosmetic
Chemistry November 13, 2007
2
Personal Background
  • M.S. in Microbiology University of Wisconsin
    Oshkosh
  • Employed at Kimberly-Clark Corporation since 2000
  • Skin Science Research
  • 2000 - 2004
  • Research Scientist
  • 2004 - Present
  • Clinical Study Coordinator
  • Team Product Safety Regulatory Affairs liaison

3
Regulation of Skin Care Claims in US
  • Food Drug Administration (FDA)
  • Product is misbranded if labeling is false or
    misleading
  • Federal Trade Commission (FTC)
  • Prohibits unfair and deceptive acts or practices
  • National Advertising Division (NAD)
  • Council of Better Business Bureaus
  • Self-regulatory mechanism
  • State Laws

4
ASTM Standards
  • ASTM International
  • Formerly American Society for Testing and
    Materials
  • ASTM E-1958-06 Guide for Sensory Claim
    Substantiation
  • Standard covers reasonable practices for
    designing and implementing sensory tests that
    validate claims pertaining only to the sensory or
    perceptual attributes, or both, of a product. 

5
FDA Definitions of Cosmetics vs. Drugs
  • Cosmetics
  • "articles intended to be rubbed, poured,
    sprinkled, or sprayed on, introduced into, or
    otherwise applied to the human body...for
    cleansing, beautifying, promoting attractiveness,
    or altering the appearance" FDC Act, sec.
    201(i)
  • Drugs
  • "(A) articles intended for use in the
    diagnosis, cure, mitigation, treatment, or
    prevention of diseaseand (B) articles (other
    than food) intended to affect the structure or
    any function of the body of man or other animals"
    FDC Act, sec. 201(g)(1)
  • Cosmeceuticals
  • A product can be a drug, a cosmetic, or a
    combination of both, but the term "cosmeceutical"
    has no meaning under the law.

6
How is intended use established?
  • Claims stated on the product labeling, in
    advertising, on the Internet, or in other
    promotional materials.
  • Consumer perception, which may be established
    through the product's reputation.
  • Ingredients that may cause a product to be
    considered a drug because they have a well known
    (to the public and industry) therapeutic use.
  • http//www.cfsan.fda.gov/dms/cos-218.html

7
FDA Warning Letter Excerpts
  • The review of this labeling found the products
    being offered are promoted for conditions that
    cause them to be drugs under sections
    201(g)(1)(B) and 201(g)(1)(C) of the Federal
    Food, Drug, and Cosmetic Act (the Act) 21 U.S.C.
    321(g)(1)(B) and 321(g)(1)(C). Claims in your
    labeling, including your web sites, establish
    that these products are drugs because they are
    intended for use in the cure, mitigation,
    treatment, or prevention of disease and are
    intended to affect the structure or function of
    the body.

8
FDA Warning Letter Excerpts - Continued
  • Examples of some of the claims observed for these
    products include
  • Claims on the boxes for each of your products
  • "Reduces Redness"
  • "Smoothes Scaly Skin"
  • Claims on the Dramatic Relief for Oily and Acne
    Prone Skin box
  • "Intended for individuals with chronic skin
    redness and flaking . . . associated with
    dermatologic conditions like seborrheic
    dermatitis or rosacea ."
  • "Inflamed oily skin associated with troublesome
    dermatologic conditions. . .Dramatic Relief. .
    .for Oily and Acne Prone Skin. . .clinically
    proven to reduce redness, eliminate scaling, and
    help soft, smooth skin reappear."
  • Claims on the Dramatic Relief for Normal To Dry
    Skin box
  • "Intended for individuals with chronic skin
    redness accompanied by severely dry skin, often
    associated with dermatologic inflammatory
    conditions like eczema or rosacea."
  • "Inflamed, dry and scaly skin often associated
    with troublesome dermatologic conditions. . .
    Dramatic Relief. . .for Normal to Dry Skin ...
    clinically proven to reduce redness, eliminate
    scaling and itching, and help smooth, soft skin
    reappear.

9
NAD Advertising Industry Self-Regulation
  • Review national advertising for truthfulness and
    accuracy
  • Routine monitoring of advertisements
  • Mediate challenges between companies
  • Review of challenges done within 60 business days
  • Data are confidential, while advertiser and
    challenger positions, and NAD decisions are
    available to the public
  • Will refer to other government agencies (FTC) as
    appropriate if advertisers do not cooperate

10
NAD Review - Example
  • Claims at issue
  • Now its skincare that actually lifts wrinkles
    from the inside out.
  • NAD recommended that the company discontinue or
    modify the claim to reflect a reduction in the
    appearance of lines and wrinkles, rather than the
    elimination of lines and wrinkles.
  • XXX with unique dermatological-nutrients refuels
    cells within skins deepest surface layers OMEGA
    3 locks in moisture VITAMIN A visibly reduces
    wrinkles RICE PROTEIN fortifies skin.
  • NAD determined that there is a reasonable basis
    to support the unique dermatological-nutrients
    claim as it relates to OMEGA 3 and rice protein,
    but recommended the reference to Vitamin A be
    modified to reflect that it helps reduce, rather
    than visibly reduces, fine lines and wrinkles.
  • A clinical study proves in 3 weeks wrinkles are
    visibly lifted and skin is noticeably firmer.
  • NAD recommended that the claim be modified to
    reflect the wording of the companys clinical
    study.

11
So, why do claims need substantiation?
  • Comply with regulations
  • Need to provide a reasonable basis for claims
  • Consumer acceptance of the product!
  • If product doesnt meet expectations, there will
    be limited success in the market place

12
Claim Substantiation Process
  • Claims development process should begin early in
    the product development process
  • Product development driven by desired claims
  • Review of claims by cross-functional team
  • Marketing
  • RD/Technical
  • Regulatory Affairs
  • Legal
  • Product Safety

13
Claims Related Questions
  • Is the product a cosmetic, drug, or medical
    device?
  • Can changing the claim, change product
    classification?
  • Will claims be on package, on the internet, in
    print, or on television?
  • Do claims require testing to substantiate?
  • What type of testing is required?
  • Is there a standard or industry accepted method
    to substantiate?

14
Categories of Claims
  • Composition/Ingredient Claims
  • Safety
  • Efficacy/Performance
  • Cosmetic
  • Drug

15
Claims can be further classified as
  • Monadic
  • Comparative
  • Superiority
  • Parity

16
Composition Claims
  • X contains Vitamin C, a potent anti-oxidant to
    help fight visible signs of aging
  • How much vitamin C is present in formulation?
  • Is it shown to be effective at that
    concentration?
  • What form is it in?
  • Is it effective in the formulation?

17
A note about claims relating to safety
  • FDA states
  • If the safety of a cosmetic is not adequately
    substantiated, the product may be considered
    misbranded and may be subject to regulatory
    action unless the label bears the following
    statement "Warning - The safety of this product
    has not been determined." See 21 CFR 740.10.

18
Determining Cosmetic Product Safety
  • Determination of product safety is the
    responsibility of the manufacturer/marketing
    company
  • Cosmetic Ingredient Review (CIR) panel
  • Established in 1976 by the Cosmetic, Toiletry
    Fragrance Association (CTFA) with support FDA and
    the Consumer Federation of America
  • Thoroughly reviews and assesses the safety of
    ingredients used in cosmetics in an open,
    unbiased, and expert manner, and publishes the
    results in the open, peer-reviewed scientific
    literature

19
Product Safety Testing
  • Testing needs are determined by the company
    marketing the product
  • May include
  • In vitro testing
  • Cumulative Irritation testing
  • Repeat Insult Patch Tests (RIPT)
  • Sensitization
  • Ocular Irritation
  • Facial Sting
  • Phototoxicity
  • Photoallergy
  • Comedogenicity
  • Acnegenicity

20
Hypoallergenic
  • No Federal standards or definitions of
    "hypoallergenic"
  • Term is defined by the company making the claim
  • Type of testing used to substantiate
    hypoallergenic varies from company to company

21
Product Performance Claims
  • It is the responsibility of the company marketing
    a cosmetic product to substantiate performance
    claims.
  • Types of testing and the degree of testing can
    vary widely within the industry.

22
Creative cosmetic claims
Olay Regenerist regenerates skin's appearance
without such drastic measures as chemical peels,
cosmetic surgery or lasers. Clinical tests prove
that amino-peptides help regenerate damaged skin.
Now Olay Regenerist uses this technology to
beautifully regenerate skin's appearance by
renewing its outer layer, revealing newer
skin. Regenerist Daily Regenerating Serum uses a
concentrated form of an exclusive amino-peptide
complex and combines it with Olay moisture to
offer the maximum regeneration and hydration
within the Regenerist line. This formula leaves
your skin feeling velvety smooth and is designed
for everyday use. http//www.olay.com/boutique/r
egenerist/products/re1012
23
Cosmetic Claims
  • LOREAL RevitaLift Double Lifting The first
    double-action treatment that instantly
    re-tightens skin and effectively fights wrinkles.
    The double-pump system combines two exclusive
    formulas, an intense re-tightening gel and an
    anti-wrinkle treatment, in just one application.
  • Benefit 1 The Intense Re-Tightening Gel,
    containing Pro-Tensium, works to immediately form
    a resistant and flexible network that instantly
    re-tightens skin. 75 of women reported skin
    lifted and tightened immediately.
  • Effectiveness in a test of 52 women immediately
    after application.
  • Benefit 2 The Anti-Wrinkle Comfort Cream with
    Nanosomes of Pro-Retinol A penetrate the skins
    surface, effectively fighting wrinkles and
    reducing the appearance of fine neck creases.
    20 of women tested had fewer surface wrinkles in
    one week.
  • Effectiveness in reduction of overall surface
    wrinkles in a test of 40 women.

http//www.lorealparisusa.com/frames.asp?0.5192384
361169118skincare/brand/revitalift.asp
24
OTC Drug Claims
  • Limited by monographs
  • Sunscreen claims
  • Antimicrobial formulations
  • Skin protectants
  • Diaper rash cream
  • Acne
  • Skin bleaching
  • Testing requirements addressed in monograph

25
OTC Example Sunscreen
  • Drug label claims
  • Helps prevent sunburn
  • Broad spectrum sunscreen must provide at least
    low protection against UVB and UVA
  • Water Resistant/Very Water Resistant
  • Retains SPF after 40 or 80 minutes of activity
    in the water and/or sweating or perspiring
  • SPF 50
  • Provides highest protection against sunburn and
    tanning
  • For skin extremely sensitive to sunburn
  • Testing is required to establish UVB SPF, UVA and
    water resistant claims
  • Test methodology found in monograph

26
OTC Example Skin Protectant Lip Protectant
  • Drug label claims
  • Temporarily protects and helps relieve chapped
    or cracked lips
  • Helps protect lips from the drying effects of
    wind and cold weather
  • No testing requirements established by the
    monograph
  • Additional cosmetic claims such as moisturizing
    allowed outside of the Drug Facts box

27
Is testing needed to substantiate the claim?
  • Puffery typically cannot be tested or measured
  • Technical Opinion substantiation based on sound
    technical judgment of expert in the field
  • Substantiation testing required, for example,
    when claim speaks to effectiveness of a product
    or a benefit or improvement in a skin attribute
    as a result of using the product in vivo or in
    vitro

28
Group Activity
  • Identify the following types of claims in the
    magazine ads provided
  • Composition claims
  • Cosmetic claims
  • Drug claims
  • Which claims do you think need testing to
    substantiate?

29
Types of substantiation testing
  • Laboratory Test (in vitro)
  • Clinical Test (in vivo)
  • Consumer Use Tests

30
Vendor Information, key questions to ask
  • What is the mechanism of action?
  • How was it tested?
  • Laboratory?
  • Clinical?
  • Use test?
  • What concentrations of the ingredient were used?
  • How many data points were captured?
  • Were proper controls used?
  • Are the methods clearly described?
  • Is all of the data being presented?
  • Is statistical significance demonstrated?
  • Does the data support the vendors conclusions?
  • How will this ingredient work in the final
    formulation?

31
What is a Clinical Study?
  • Controlled investigation involving consenting
    human volunteers
  • Subjects recruited based on specific
    inclusion/exclusion criteria not necessarily
    consumers
  • Follow Good Clinical Practices
  • Designed to gain fundamental knowledge of a
    biological condition or to evaluate test article
    safety, efficacy, or specific product attributes
  • Not typically preference, sensory, or consumer
    use tests

32
Categories of Skin Clinical Studies
  • Fundamental skin research
  • Evaluation of product performance or product
    characteristics
  • Claim substantiation

33
Study categories vs. Product Development timeline
Concept Development Product
Development Product Launch Post-Launch
Fundamental Skin Studies
Consumer Feedback
Product Performance/Characteristics
Product Improvements
Claim substantiation
34
Fundamental Skin Attributes
  • Small number of subjects
  • Often geared toward understanding differences
    between populations or conditions
  • Age Infant, adult, elderly
  • Race/Ethnicity Caucasian, African-American,
    Latino, Asian
  • Gender
  • Condition healthy intact skin vs. compromised
    skin
  • Skin type normal, oily, dry skin

35
Product Performance or Characteristics
  • Small number of subjects
  • Used to determine whether a product has a desired
    benefit
  • Does the lotion moisturize for 24 hours?
  • Is the antimicrobial lotion effective at killing
    bacteria?
  • Compare multiple product prototypes
  • Potential issues with a product

36
Claims Substantiation
  • Larger numbers of subjects
  • Designed to substantiate product claims
  • Final product tested
  • Target population
  • May utilize normal usage instructions

37
Factors to Consider when Developing a Protocol
  • Population
  • Number of subjects
  • Methodology
  • Study length
  • Product availability
  • Product Classification
  • Cosmetic, drug, or medical device
  • Institutional Review Board (IRB) approval
  • ASTM Guidelines (if using as an Ad Claim)

38
Where should the study be placed?
  • Several specialized test facilities throughout US
  • Capabilities strengths/weakness
  • Geographic location
  • Climate
  • Population base
  • Flexibility of timing
  • Cost

39
Methodology
  • Instrumental Evaluation
  • Expert Grade
  • Subject Self-Assessment

40
Instrumental Measurements
  • Advantages
  • Objective measurements
  • May provide increased sensitivity
  • Disadvantages
  • Effect may be more complex than one instrument
    can measure
  • Differences detected by instrumentation may not
    be meaningful to consumers

41
Examples of Instrumental Measurements
  • Moisturization ? Conductance/Impedance
  • Skin barrier function ? TEWL
  • Skin texture ? Topography
  • Skin elasticity ? Elastometer
  • Skin thickness ? Ultrasound
  • Skin surface characteristics ? Microscopy
  • Temperature ? Infrared Thermography
  • pH ? Skin pH probe
  • Color ? Chromameter
  • Blood flow? Laser Doppler
  • Sebum (oiliness) ? Sebumeter

42
Moisturization
  • Measurement based on the premise that electrical
    properties of the skin change with hydration
  • Instruments that measure skin conductance,
    impedance, and capacitance used to measure skin
    hydration
  • Skicon (IBS Co. Ltd., Japan) conductance
  • Dermalab (Cortex, Denmark) - conductance
  • Corneometer (Courage Khazaka Electronic GmbH,
    Germany) capacitance
  • Nova Dermal Phase Meter (DPM) (Nova
    Technologies, US) impedance

43
Skin Barrier
  • Transepidermal Water Loss (TEWL) is used to
    measure vapor loss from the skin
  • Tewameter (Courage Khazaka Electronic GmbH,
    Germany)
  • Dermalab (Cortex, Denmark)
  • Servo Med Evaporimeter (Servo Med, Sweeden)

44
Skin Texture
  • Topography can be measured through profilometry
    measurements
  • Silicone Replicas
  • Skin-Visiometer SV 600 (Courage Khazaka
    Electronic GmbH, Germany)
  • Laser Profilometry

45
Fine Lines/Wrinkles
  • Can be done in similar fashion to skin texture
    measurements
  • Silicone Replicas
  • Digital image assessments
  • PRIMOS (GFMesstechnik GmbH , Germany) 3D
    imaging

46
Photography Systems
  • Canfield VISIA
  • Facial photography
  • Front and side images
  • Standard lighting
  • Standard flash
  • Parallel Polarized
  • Accentuate surface characteristics
  • Cross Polarized
  • Accentuates sub-surface characteristics
  • UV
  • Sun damage
  • Acne

47
Skin Elasticity
  • A number of techniques can be used to measure the
    mechanical properties of the skin
  • Dermal Torque Meter (Diastron, UK)
  • Torsion
  • Dermlab Elasticity Module (Cortex, Denmark)
  • Suction
  • Ballistometer (Diastron, UK)
  • Indentation

48
Skin Thickness
  • Can be measured using ultrasound techniques

Dorsal Forearm 25 year old
51 year old 20 MHz Sharp Focus Transducer
49
Temperature
  • Infrared Thermography
  • Used to measure skin surface temperature
  • Thermocouples
  • Can measure heat between surfaces

50
Blood Flow
  • Laser Doppler imaging can be used to assess blood
    flow which can be associated with irritation or
    heat

Lower back before and after heating pad use
51
Color
  • Various imaging techniques can be used for
    assessing redness, tanning, and overall skin
    color
  • Chroma Meter (Konica Minolta, Japan)
  • Uses Lab color space system
  • DSM Color Meter (Cortex, Denmark)
  • Measuring erythema and melanin

52
Expert Grade
  • Advantages
  • Can assess multiple parameters at once
  • Assess features for which there is no
    instrumental measurement available
  • Provide more consistency than subject
    self-assessment
  • Disadvantages
  • Subjective measurements
  • Differences may not be perceived by consumers
  • Should be trained and able to demonstrate
    repeatable, consistent responses
  • More expensive
  • Advantageous to have more than one, but not
    always practical

53
Examples of Traits Assessed by Expert Grader
  • Skin Dryness/Moisturization
  • Irritation
  • Fine lines
  • Dark circles (under eye)
  • Puffiness (under eye)
  • Texture/Smoothness
  • Color
  • Radiance
  • Clarity
  • Youthfulness

54
Subject Self-Assessment
  • Advantages
  • Assessments most similar to consumer perception
  • Most meaningful to consumer
  • Disadvantages
  • Subjective measurements
  • Larger sample sizes to differentiate (noisier
    data)
  • Subjects will sometimes perceive differences that
    are not detected by other means

55
Subject Self-Assessment
  • Can evaluate same attributes as expert grade
  • Mirror evaluations
  • Less expensive
  • Perception changes over time
  • Photography
  • Allows subjects to compare baseline photos to
    post-treatment photos
  • Both types of assessments require controlled and
    consistent lighting

56
Study Design
  • Objective
  • Inclusion/Exclusion Criteria
  • Methods
  • Pretreatment Phase
  • Treatment Phase
  • Data Analysis

57
Forearm Moisturization Study - Example
  • 30 subjects
  • Six test sites (including one control site)
  • Acclimation to controlled temperature humidity
    environment
  • Baseline conductance measurements taken
  • Apply controlled amount of formulation to each
    test site
  • Take additional conductance measurements 30
    minutes to 24 hours after application
  • Compare pre- and post-application measurements
  • Compare test and untreated control sites

58
Fine Line/Wrinkle Study Example
  • 30 subjects
  • Periorbital and/or perioral wrinkles present
  • Baseline instrumental, expert grade, and subject
    self-assessment (photography)
  • Subjects use product twice daily for up to 12
    weeks
  • Fine line assessments repeated periodically
  • Compare to baseline measurements

59
Questions?
60
References
  • Food Drug Administration (FDA)
  • http//www.fda.gov/
  • Over the Counter (OTC) Drug
  • http//www.fda.gov/cder/offices/otc/default.htm
  • National Advertising Division (NAD)
  • http//www.nadreview.org/
  • Federal Trade Commission
  • http//www.ftc.gov/
  • Cosmetic, Toiletry, and Fragrance Association
    (CTFA)
  • http//www.ctfa.org/
  • Cosmetic Ingredient Review
  • http//www.cir-safety.org/
  • American Society for Testing and Materials
    (ASTM)
  • http//www.astm.org/
  • Bioengineering of the Skin Methods and
    Instrumentation. 1995. Eds. E. Berardesca, P.
    Elsner, K. P. Wilhelm, H. I. Maibach
  • Skin Moisturization. 2002. Eds. J. J. Leyden, A.
    V. Rawlings
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