On behalf of the consumers we represent, CASAA filed a second comment in connection with FDA's advance notice of proposed rulemaking re packaging and labeling.
In our first comment filed 9-27-15 (http://blog.casaa.org/2015/09/casaa-comment-on-fdas-proposed.html), among other things, we predicted that those with ideology-based political goals would seek to use the comment process as an opportunity to provide inaccurate information in an attempt to discourage adult use of these potentially life-saving products.
We were right.
We filed a second comment 9-30-15 (http://blog.casaa.org/2015/10/casaa-fda-comment-on-ucsftcors-fda.html) which analyzed, point by point, a comment filed by the University of California, San Francisco, tobacco Center of Regulatory Science (TCORS) and the California Poison Control System (CPCS). In that comment, we note how dishonest pursuit of policy goals by members of "public health" puts the welfare of the public at risk.
In our first comment filed 9-27-15 (http://blog.casaa.org/2015/09/casaa-comment-on-fdas-proposed.html), among other things, we predicted that those with ideology-based political goals would seek to use the comment process as an opportunity to provide inaccurate information in an attempt to discourage adult use of these potentially life-saving products.
We were right.
We filed a second comment 9-30-15 (http://blog.casaa.org/2015/10/casaa-fda-comment-on-ucsftcors-fda.html) which analyzed, point by point, a comment filed by the University of California, San Francisco, tobacco Center of Regulatory Science (TCORS) and the California Poison Control System (CPCS). In that comment, we note how dishonest pursuit of policy goals by members of "public health" puts the welfare of the public at risk.