March 8, 1999
Mr. Stephenson (HHS): Good afternoon. The issues before us today will cover a
number of agenda items in a limited period of time. We ask that you sign in so
we know officially who is here. We will offer an opportunity to any individual
or group that has a need to make any public comments that are separate and
distinct from the agenda of the afternoon. If there are any of you, please see
the representative at the back of the room, and she will sign you up. Depending
on the number of individuals who wish to make public comments, we will allow a
limited amount of time for each and you will speak in the order in which you
sign up. This afternoon, we're going to go discuss the Federal custody and
control form working group meeting that deals with the way we are looking at
identifying specimen collection, addressing briefly the on-site test report we
placed on our website, discussing alternative specimens in terms of the basic
process, and then performing a detailed analysis of hair testing. Our
intentions are to update the matrix for hair testing. We will then provide an
opportunity for individuals to respond to issues that are raised at the time.
At this time I would ask Dr. Walter Vogl to give us a brief update on the
Federal custody and control form working group meeting.
Dr. Vogl (HHS): I want to briefly update the attendees regarding a working group
meeting that was held on January 20 and 21. We had approximately 30 to 35
participants. Several of the people here attended that meeting. We had most of
the large laboratories represented, we had third-party administrators,
collectors, MROs, and others who were interested in the workplace drug testing
program. Basically the two-day meeting was a brainstorming session. We started
by getting comments on the current form and then developed a list of
consensus-type changes that a majority of the attendees wanted to see made on
the form. We put copies of the first draft along with other information on the
sign in table. The last pages are the preliminary agenda for the next meeting
which is in two weeks. If you are interested in attending, let me know and I
will add you to the list. The current form is a seven-part form and it's been
used since 1991 or 1992. Originally it was a six-part form, but became a
seven-part form when split specimen testing was implemented, primarily in the
DOT programs. Every three years, we are required to have the form approved by
OMB in order to continue using it. Since the current form expires June 2000, we
are starting the process of revising the form. By August-September, we should
have the final draft completed and then it will be published in the Federal
Register for public comment. After the public comment period, the final draft
will be forwarded for OMB approval.
I just want to highlight the changes on this first draft compared to the current
form. We still have a one-inch space at the top which would be for the
laboratory name and address, the specimen ID number, the laboratory accession
number, and any other information the laboratory might want there. We would
have the OMB number in the upper right-hand corner. As far as Step 1 is
concerned, we're trying to put all of relevant information regarding the
employer name, the MRO name, and collection site in the same area. It is either
completed by the collector or employee representative, the laboratory preprints
this information, or it is printed on-site. There is a space for the donor's
social security number, the reasons for the test - trying to put those in a way
such that in marking the box you are not going to mark two boxes at the same
time, and the drugs to be tested. We also have a space reserved for some
additional laboratory information. The laboratories were interested in getting
a space that they could use for their own purposes - perhaps demographic
information or other bar coding information. The next step, we rearranged how
the specimen temperature was recorded and have two separate boxes to indicate
whether it was a single specimen or a split specimen collection. We are still
working on how to incorporate the direct observed collection into the form. The
next step, the collector seals the bottle after receiving it from the donor,
and the donor initials the bottle seals. Step 4 is similar to the current form.
We are proposing to delete the split specimen copy because it serves no useful
purpose. We believe, in the scheme of things, that the results for the split
specimen could be easily recorded on a laboratory generated custody and control
form. When the split is sent from Laboratory A to Laboratory B, Laboratory B
can use the laboratory generated chain of custody form to record and report the
result to the MRO. With regard to Step 5, this is a significant change. The
collector certification statement would document all of the activities from
collection, to labeling and sealing, and to preparing the specimen bottles for
transfer to the laboratory using one signature rather than the collector having
to sign the form three times. This statement and approach is being evaluated by
our Department of Justice liaison. Assuming it is an acceptable approach, that
allows us to simplify the chain of custody area. We would use a one-line
approach, similar to what the laboratories use internally in documenting the
transfer in handling of a specimen through the laboratories. We believe two
lines would be sufficient when it's received by the laboratory. The laboratory
accession person would sign the first line and in many cases, the purpose would
indicate all of the actions that that individual will be dealing with regard to
the specimen. Step 7 is completed by the laboratory reporting out the result.
We recently issued a program document on the validity testing of specimens and
are allowing laboratories to report additional information on specimens, such
as, adulterated or substituted. Looking at the form, we believe it's important
to have similar categories as to how the specimens are being reported out
rather than to use the test not performed box to cover a variety of different
results. It's more appropriate to mark the specific problem with this specimen
or result, negative or positive, and then put in a remark indicating why it is
an adulterated, substituted, or rejected. The remarks line is the entire width
of the paper to allow enough space for the long remarks we require in some
cases. There is still a line for the test laboratory if it's different from the
one that's recorded at the top of the form. A certifying scientist would sign
his/her name and date it. The labels are at the bottom of the form. We are
trying to get the labels onto a standard size sheet of paper. We feel that from
a cost saving standpoint, that would be very important and it is easier to deal
with forms that are the size of a standard sheet of paper to allow using a
standard printer. What happened to the package seal? We're working on that.
There may be an opportunity to either eliminate the package seal or have a
separate supply because it is not tied in any way to the specimen ID number.
There is no reason you couldn't have separate package seals if you really want
to continue using it. The MRO section would appear in that spot on the other
five copies. Copy 2 goes to the MRO with the certifying scientist signature on
it. Copy 1 is retained by the laboratory. That's where we are right now.
Mr. Stephenson: We are looking for your input. You are welcome to attend and
participate in the next meeting. There will be a public comment period and we
will need to get this thing moving. Walt, when did you say you hope to actually
have this submitted to OMB?
Dr. Vogl: The approval package would be submitted to OMB in early Spring.
Mr. Stephenson: This is a major revision. This process builds on all the
experience we have had with preparing a collection handbook and an MRO manual
and it takes into consideration the flexibility for the laboratories to print
their own forms
Dr. Vogl: Assuming it is approved by OMB next June, it would still take six to
nine months for implementation. We must allow everyone who uses the form to use
their existing copies of the forms. They generally have a few months' supply on
hand and they would have to make software and printing modifications to ensure
that they could begin using the new form on a certain date.
Mr. Stephenson: Next, the on-site test report update.
Dr. Bush (HHS): One of the handouts is titled, an Evaluation of Non-instrumented
Drug Test Devices. There's a background and a summary of the device evaluation
itself. This report reviews 15 devices. They are listed by name with the
distributor, address, and phone number. The analytical data is presented in
both a table and a graph format. Looking at the table, there is a perfect
device (listed as PD) and then the other devices are encoded. We have blinded
the identity of all of the information for display on our website as it appears
in this document. If you want specific information on any one of these devices,
please call the phone number listed. Each manufacturer knows which result
pertains to their specific test kits. This study was performed for us under
contract by Duo Research, and will be presented at the Society of Forensic
Toxicologists. Shortly after the Society of Forensic Toxicologists meeting, if
not concurrently, the complete study will be published in a peer reviewed
scientific publication along with the identities of the devices studied. This
is Part 2 of a study that was undertaken by the Administrative Office of the
U.S. Courts a couple of years ago when 16 devices, that were on the market at
that time, were evaluated. Since then, 15 more devices have been developed. I
look forward to the peer reviewed scientific article with more detail.
Hair Testing
Note: The sections and elements (e.g., D-4, G-4b) in the following discussions
refer to those in the Table of Factors Required for Reliable Workplace Drug
Testing.
Dr. Selavka (Mass. State Police Crime Lab): The Hair Testing Working Group has
met twice since the last DTAB meeting. In the information you have, the hair
testing section has the input developed by the working group. I am not going to
discuss A-1 through A-4 since they are blank and can be satisfied for hair
testing. B-1 involves training collectors and B-2 is certification for
collectors. Both of these are done by the hair testing industry. C-3 pertains
to FDA clearance and any discussion is left to the Board and HHS. D-2 relates
to multiple testing and the working group formed a consensus as to how much of
a sample should be collected. D-3 relates to potential to split a sample and
that can be accomplished if a sufficient amount of sample is collected. For
D-4, stability of hair, drugs and metabolites are quite stable in hair. For
E-6, the working group defined terms for tampering, adulteration, and an
unsuitable sample. Transportation of the sample to the laboratory, E-7, is not
an issue. Short and long term storage, G-2, does not appear to be a problem
although there may be a slight degradation over a long period of time. G-3, can
identify adulterated/substituted specimens, refers back to the same issues as
discussed with E-6. Again, FDA clearance for the initial test kit is left up to
the Board and HHS. G-4b, target analytes, were established for hair testing
with the cutoffs given in G-4c. G-4d, the precision around the cutoffs can be
established similar to urine testing. G-4e, a repeat initial test can be
accomplished by either retesting the original sample or collecting another
sample a few days later. G-5a, the working group recommends using GC or
LC-MS/MS because the concentrations are somewhat lower. A detailed list of
cutoffs were established for each drug class in G-5b. H-1, a certified
laboratory program could be established. H-2, PT samples could be constructed
to challenge the laboratories. H-3, a laboratory inspection program could be
established. H-4, blind samples should be prepared using actual drug user hair
samples. However, it appears that different types of hair may be needed to
address the aspects of hair testing. I-1, certifying scientist review is
possible. I-2, reporting results by specific drug is possible. I-3, results can
be reported in a timely manner using a standard report form (I-4). With regard
to interpreting results, J-1, the working group developed a comprehensive
consensus statement. Alternative medical explanations, J-2, can exist as with
urine. J-3, MRO training is possible. K-1, dose-time is similar to urine and
involves a number of factors.
K-2, specimen contamination cannot be solved through a simple application of any
single approach. With regard to color bias, the working group believes it is
not the color that is the issue, but rather characteristics that affect
bioavailability and incorporation.
COL Jacobs (DTAB member): With regard to future studies for hair testing, I
think there is going to be some discussion of looking at other possible ways,
and perhaps some of the studies we're either going to have to get the
information back on or that we're going to discern will hopefully deduce some
answers on that. If you live with a crack dealer, we won't go into why you do
that, but does that necessarily mean that you can live with this individual for
two or three months and you're going to test positive just from being there. Is
that an excuse, do we want to accept that excuse, what kind of testing - what
kind of levels are we going to reach? Again, we may have some information on
that or we may look at trying to design some experiments that are going to give
us some information on that.
Another issue I think we still need to look at is wash versus rinse. What do we
mean by those two terms? What is a rinse? What is a wash? Can someone rinse it
and then go to a different laboratory and use the wash and get more out? Do we
digest the hair or not digest the hair? Are their mild methods? Harsh methods?
And we send these samples out to various laboratories with these various vapor
on the hair or soaked in drug or actually drug in the hair, are we going to get
back the same answers? Because we want to at least make sure that we aren't
giving someone a negative mark behind their name for something they didn't do,
I think that they're going to have to come up with - and this is just me
speaking here - other explanations for why they washed their hair with cocaine.
But you don't want to accuse someone falsely. And we want to make sure that the
rinse procedures work or wash procedures work, and we will be addressing some
of those.
Dr. Vogl: On Page 21 with the cutoffs that you have listed or proposed, what is
the LOD or LOQ for each drug class?
Dr. Selavka: For the most part, it is five times above the LOD, but it is
different from class to class. THC, is probably close to five times higher.
Cocaine is much higher than laboratories can detect. The value of 1.0 is way
above what laboratories can do.
Dr. Sample (DTAB member): Can you explain the difference between the numbers on
the top half of Page 21 and the bottom half, particularly with respect to THC
and opiates?
Dr. Selavka: Page 21 contains information from a preliminary input mechanism
that people had to detail last August and September. What follows below is the
consensus formed by the HTWG. A group of people interested in developing some
consensus across the industry and academia. I would say the top half is an
initial list that has nothing to do with where we are now. I would ignore it.
Dr. Bush: That is a good point. I should have said this when we started out with
each and every one of the pages in this handout. What you see at the top is
what was provided by the industry representatives at the September DTAB in
response to constructing the grid. This is the base level information that was
provided by industry representatives for review and evaluation by the Drug
Testing Advisory Board. Sometimes it is a restatement of what was known and as
you see in cases here with the hair testing group, things have significantly
changed.
COL Jacobs: Some of the cutoffs went up, some went down, and others we have
added other metabolites to look at. That is fairly formalized now, but we are
always open to input and changes. Please go ahead.
Voice: With respect to the cutoffs for the immunoassay, I'm confused about the
reference to the uncharacterized marijuana analyte. It's referred to again down
in the working group section that they haven't come to consensus on that. Are
you saying we don't know what's being tested for at the laboratories in terms
of the assay for THC?
Dr. Selavka: I believe the consensus of the group is that we do know the kits
that are being used, whether they're home-brewed or commercial that are
sensitive to those things in that drug class. But you don't know the specific
contribution of any one of them until you test each one of them for cross
reactivity, and I think across the board, that has not been done in
laboratories. What we are doing now is we are saying let's set the set point on
THC acid itself and remembering what the point of the screen was in the first
sense is those things that screen positive should confirm positive because they
contain those analytes of interest for that drug class. We have to work
backwards and see what level of THC-acid in every laboratory is likely to give
rise to a positive finding in hair that has THC-acid above the cutoff by GC/MS
or LC/MS/MS. That's the point we have to backward engineer this cutoff and that
has not been done yet with empirical data.
Mr. Meeker (PharmChem): How are these cutoffs set? For example, is there
analytical data, GC/MS printouts that are available to look at? Sensitivity and
interference available for other people to review, and seeing how you're
setting these cutoffs on both the MS/MS and the GS/MS or the LC/MS data that's
provided? Secondly, for opiates - where you have the disclaimer underneath -
that any opiate analyte may be reported as a stand alone finding - what is the
purpose of that? Because heroin can be smoked in the environment and you still
have the problem with that as well.
Dr. Selavka: That's a good comment. Dr. Martha Harky raised that as we were
leaving the meeting last time. As you mentioned, we may have to revisit the
opiate only. Cutoff or reporting requirement, I think that's a good point. We
will be revisiting that for the reason you brought up in your second question.
The first question - there are data available to the public that underlie the
setting of these cutoffs by LC and GC/MS methods. I don't think they have ever
been published it, but most laboratories that validate their methods also do
not publish their validation studies. If you're a laboratory and you want to
generate such data and if you know how to do it, set up a validation
experiment.
COL Jacobs: Those probably would be the types of things that when laboratories
are inspected we would look at. If this continues and becomes part of the
program, I think that those types of cutoffs and levels would be looked at and
reviewed and from what I have seen, it looks quite comparable in most ways, to
all other testing and all other types of chromatograms.
Dr. Selavka: If I could revisit the second one. If yours is the first one - if I
was the original, the thinking is you wouldn't find 6-AM without morphine. But
Martha's point and I guess yours also is that it could happen. We better put it
into the protocol for the studies we do on environmental exposure.
COL Jacobs: The next working group meeting is March 29 and 30 in San Antonio. If
anyone wants to attend, let us know. It has been a large group, but I don't
think that's been a problem. There have been a few times where side issues get
talked about, but we're getting to the end here and we're reaching agreements
that I thought would be two or three years down the line. I believe we are
getting somewhere.
Mr. Stephenson: One of those issues should be, at this point, based on the
information that has been presented today, and we had an opportunity for
discussion among the Board, are the Board members ready to examine and update
the matrix in these particular areas? I think you have adequate information.
COL Jacobs: I would like to think the areas where this group has reached
consensus that the Board could look at those things and say yes, this is
reasonable, they've reached agreement, and this makes sense, or it doesn't and
give it back to the group to readdress.
Mr. Stephenson: How do you want to go about that?
COL Jacobs: A-1, A-2, etc.
Dr. Bush: Do we need to go over each one?
Mr. Stephenson: If we update the matrix, what we can do is put it back up on the
web with an update in this area for the rest of the world to see as we go
through this. This is a process we said we were going to do, that we would have
this done in open session, and that we would make the changes.
COL Jacobs: We're going to go over them one point at a time and decide. Just for
those who don't know or haven't seen, the reason why we did not look at 1, 2,
3, and 4, that's on the collection site. Since they are all blank, that means
we can satisfy the requirements, that the preparation of the collection site
can be accomplished for hair testing, the security, the privacy, and the
observed collection. Those things aren't a problem for hair testing and can be
accomplished. So A is done.
Dr. Bush: Reflect back to the table as of August 20, 1998. Because those blocks
that were blank for each individual specimen and technology in each individual
aspect, we were evaluating at that time, our discussions amongst the industry
and the Board members. The agreement was for each that we were comfortable, the
Board was comfortable at that time, that a satisfactory resolution could be
reached with existing information at the time. That's what all the blanks are.
Then P was the letter that was put in the box if it was possible - if it was
thought to be possible, but needed a little more information, more discussion,
more evaluation on the part of the Board. I was insufficient information. It
needed much more information than a P. And then N was a criteria where a given
technology couldn't satisfy a requirement. Happily, there were no N's that were
assigned in this grid. It is now a place to say, can a P be replaced by a
blank, and can an I be replaced by a P or a blank.
COL Jacobs: I'm going to start with B again. B-1 and B-2 are training and
certification, Page 1 and Page 2. I think that this working group has answered
those things and I think it should move to a blank. They have training videos,
they have pamphlets, they have graded examinations, and they have certification
that is provided for the collector. I think that is what we asked, and it has
been provided. Do I have any comments from anyone?
Dr. Sample (DTAB Member): Training and certification, is that vendor specific or
global?
COL Jacobs: At this point, there's nothing other than vendor specific. Do you
want to say that it has to be global and move to that? Because my feeling is
now, I don't know.
Dr. Sample: Do all vendors provide that?
Dr. Vogl: Wait, this isn't for on-site testing, this is can a collector be
properly trained to collect a hair specimen.
Dr. Sample: The information suggests that training and certification is
available now, but that training and certification may not be applicable for
every hair specimen that they collect, is what I thought I heard being said.
COL Jacobs: I'm saying the information can satisfy the requirement.
Dr. Bush: When you say, can satisfy the requirement that we as a group could
craft statements and craft collection criteria and training requirements?
COL Jacobs: If we want to, I think there are places out there who have crafted
their own for their own needs and have done that, and I think those are
acceptable. It doesn't mean that all places are doing that now.
Ms. Bernstein (DOT): That would be the issue because you talk about a grading
examination. Does that mean that each entity has their own graded examination?
COL Jacobs: Yes, they're separate. There has been no need to get together, to
compare our exams, and to go out and say we now have one exam.
Ms. Bernstein: I want to go back to Dr. Bush’s issue - is this something or do
we have to make this decision today? In terms of talking about each entity or
vendor that performs this, they can have their own examination, and that we
don't care what's in it, or just that it is possible, or is this something that
still has to be done in the future on a global basis? Those are very different
things, so I'm certain what decision is it that we want to reach today?
Mr. Stephenson: I could really throw a curve in this and say, do we want to have
an ISO 9000 standard? What are your thoughts in terms of how to move from say a
P to a blank in this area? Where do you think the burden should be in terms of
process?
Dr. Caplan (DTAB member): From a process point of view, I think what we should
be doing here is that working group gave a recommendation and on the basis that
a program has been demonstrated to have been done indicates that a training
program would be required and we could come up with a statement saying training
would be required, but we don't define the training. We have the first level
here as to look at whether or not this minimum objective has been met and if it
has, change that status and move on. Later on you have to write the regulation
-- like an adequate training program. Then we'd have to move across the various
other grids, like what it currently says about urine. What do we say about the
other things? The end result is there has to be an adequate training program.
What we've demonstrated here is that the industry has already indicated they
could do that, and, therefore, we know that is not a problem. We would move on
without being specific as to what the program is.
Ms. Bernstein: I don't disagree with that, but my question is, in looking at the
grid, does that satisfy the requirement or does it become possible, that is
what my question is, because we're supposed to come up with a grid at the end
of this.
COL Jacobs: Are we arguing over whether a blank means cans satisfy requirement?
Ms. Bernstein: Right.
Dr. Caplan: The blank obviously has an element of possibility. It's not
finished; it can be done.
COL Jacobs: What's the difference between possible and can satisfy?
Mr. Stephenson: Level of information.
COL Jacobs: My understanding is possible, somebody probably can do that and can
satisfy the requirement, somebody out there has done it and has a program in
place. Not everyone is doing it, but they can satisfy the requirement.
Dr. Caplan: The other part of the process, the grid is not the final end of
this, just moving us towards writing the regulations. Therefore, the writing of
that regulation can be done because there are blanks. I don't know that we
could decide on what the regulation is going to say on each thing at this
stage. That's the next stage.
Mr. Stephenson: Let's take it one more step and say, using these first two
elements of B-1 and B-2 on Pages 1 and 2. Could we suggest a process so that it
doesn't take a week to do this - that we do it by exception - that if members
of the Board have issues they want to address that they would raise them at
that time? Otherwise, unless there is a strong negative sense that we would
adopt the proposals for the working group and that that becomes the structure
for each of these working groups as they come online. That would be made by a
representative of the Drug Testing Advisory Board and not a member of the
industry, this way we could move through this in an orderly process. Does that
make sense?
COL Jacobs: I think what we're doing is going through it more quickly and we're
going to state B-1, does anyone have any issues with it, but at the same time,
we're going to have to say someone's going to have to propose, are we move the
P to a blank or are we.
Mr. Stephenson: You're going to do that?
COL Jacobs: I propose on B-1 and 2, we remove the P and change it to a blank.
Dr. Bush: Any negative comments from the Board members? You need to speak up if
you have a problem with it. Silence is going to be agreement with where we're
moving.
COL Jacobs: C-3. I don't know if we want to look at this or not. This is FDA
approval, insufficient information. I guess we could move all of these to a P
here if we want to say it is possible. I don't know if we want to do that or
not, and I suggest we leave it as it is and move on. D-2, multiple testing. We
still have that as needs discussion, but I think that what we have accomplished
at the meeting was work to the point where we agreed on the amount of hair in
milligrams that should be collected to answer multiple testing - multiple
testing being a second test of hair. If they ask for a retest, go back - you
still have hair to do it or send that hair to the other laboratory. I think
that has been answered and I propose we change it to a blank.
Mr. Crouch (DTAB member): Some of us saw this last night and some of us just got
this, so to go through these step by step and think about them and digest them
and be able to respond intelligently to them, I don't think as a Board member,
I've had time. I don't feel prepared to do this, I will go with the flow if
other people feel prepared, that's fine.
Dr. Caplan: I think as we go through them, some will be more obvious than
others. If anybody has a problem, we can skip that one.
Mr. Crouch: There are six subparts to this question.
Dr. Caplan: My question had to do with why three months? I would like to hear
some comments on why three months was agreed upon as opposed to one month or
six months, other than the fact that people had been doing that commercially.
Was there are any discussion about that?
Dr. Selavka: There was a lot of discussion. The laboratory I came from used to
test the whole length. The question is what puts the three month requirement on
here. We were thinking workplace environment, three months is an adequate time
period for demonstrating or not demonstrating, freedom from repetitive uses and
exposures. On the other end, there may be investigative questions where you
want to use the whole hair or less than that length and so that is where
laboratories have been working with many of their clients for many years. That
was the period that employers wanted to query and so that is why it was
selected. You could always do different time periods when the analytical
question is very different.
Mr. Crouch: How do three and four interrelate, because if you have 75 milligrams
of hair that's 12 inches long and you cut that into 3.9 mm segments, then you
don't have much hair left.
Dr. Selavka: That was factored in as well. What we determined was the average
aliquot that is used in testing. If you collect 75 milligrams regardless of the
length of the hair, in our experience, you should have adequate aliquots for
all the tests that are required. That is why I was getting back to the point
before with the LC pre-concentration step, you won't have enough hair to do
that if you were to try to pre-concentrate by using more mass of hair.
Dr. Bush: Carl, I think I missed part of that. 75 milligrams of my longest
length, that's 6 to 8 inches, you would take 75 milligrams of this entire
length, that is not very many hairs relative to my boss's hair here, and it's
definitely not 6 to 8 inches long. So you would take 75 milligrams of my long
hair and 75 milligrams of his hair, you would be missing a patch and I would be
missing a much smaller patch of hair, is that right? And there would still be
sufficient hair for re-analysis at a second laboratory from those swatches?
Dr. Selavka: The way we have written this up is very carefully crafted to allow
for the collection of a minimum of 75 milligrams. If you use the collection
procedures correctly, they will generally be providing more than that. I was
after a gram of hair and I knew that was never going to fly, but we recognize
there are differences. Again, if you want to test this, this is -- is based
upon years of experience and lot of laboratories that do this thing. We crafted
carefully. I really don't have data with me to show you how much 75 milligrams
of hair is, but it doesn't look like much. But you've already segmented it to
3.9 cm segments by that point so it's going to be 75 milligrams, is the total
mass. That is going to be then providing you with 3.9 centimeter segments.
Dr. Bush: That will be the submission for the analysis?
Dr. Selavka: Submission for the analysis in most cases.
Dr. Vogl: If you analyze each segment of the total 75 milligrams, doesn’t that
give you different results because it's a different time frame?
COL Jacobs: If you segmented it and reviewed each segment.
Dr. Vogl: What you would have to do is chop it up into homogeneous small pieces
and then you only take a portion of it to do one test?
Dr. Bush: No, you only take the 3.9 centimeters that are closest to the head,
then you take the rest of this long hair and throw it away.
Dr. Selavka: You don't throw it away.
Dr. Vogl: When we say multiple tests -- in urine, you have the specimen and you
can remove an aliquot, do the test, and come back the next day and it's the
same specimen. How does this description satisfy multiple tests? How do you
apportion the 75 milligrams so that each time you want to repeat something, if
you have to, it's the same specimen?
Dr. Selavka: You've raised a good point. I think we add an element here that the
portion tested is the 3.9 centimeter portion after it's been clipped. You say
that in one pool, you do save the rest of the hair and the packet that it came
with, you don't throw things away, but then if a re-test is done or an
immunoassay comes up positive, your confirmation is done on the 3.9 centimeter
segment. You sub-aliquot for each of these tests as you would with the urine.
But you're taking the urine -- but you're taking the aliquot from the 3.9
centimeter segment not from the whole hair. I think we do need to add something
to this to clarify.
Mr. Stephenson: If there is discussion like this that comes up an issue, my
suggestion for the process would be maybe set this one aside for a second and
then proceed and try to go through as many as we can and then we will come back
to these or maybe use a mechanism of trying to address these things either by
e-mail or a discussion in that way.
COL Jacobs: D-3 is the potential to split the specimen. I think that ties in
with the previous one. I think we can do it and can quickly move to satisfy
that requirement. I would like to tie it in to 2, and address both of them at
the same time. When D-2 does get answered, then D-3 will have the same answer.
Now, D-4, stability and storage evaluated. I think that carries enough here, if
I recall correctly, to say that it can be stored. It is stable. We hit that
requirement. There is enough hair collected and enough left over that when we
check later, it is kept, it is stable, and it can be stored.
Mr. Crouch: Isn't this again contingent upon D-2? Because if you use all of the
hair, then you're asking about the stability of the drug in the digest and not
in the hair. So if you don't collect an ample sample or an adequate sample in
D-2, then the only remaining portion is that that is already digested or been
rinsed. So I think this relates back to D-2.
COL Jacobs: It does relate back. But my understanding from the group, there was
that 75 milligrams, which was the amount - is more than enough to enough left
for sample at a later time, either in that laboratory or a different
laboratory.
Dr. Vogl: Of the 3.9 centimeters?
COL Jacobs: Of the 3.9 original, close to the scalp. Further comments,
discussion?
Dr. Bush: Have you seen any data on that like from retests that have been at a
later time? You know it's always one of those things, stability. We've had
laboratories who have urine specimens in their possession. A year later when
they're ready to throw things out, we might look at something where they are no
longer under-regulatory control. Is there information?
COL Jacobs: There was lots of information. I can't say that I saw any
chromatograms presented that says, here is this hair and here is the repeat. I
didn't see that so I won't say that. But I think everybody there certainly said
that they didn't have any that degraded more than 10 percent and that when they
looked at them, either when it was asked for the re-test or at the time of
discard when they looked at things, that it was stable and it was there. Does
anybody here want to correct me on that?
Dr. Selavka: And I presented this data at a SOFT meeting a couple of years ago.
Mr. Crouch: If hair is 10 inches, it's about 25 centimeters. If you only take 4
centimeters, then your whole sample is about 12 milligrams total. If you take
75 milligrams of someone's hair that is 12 inches long and you cut off 4
centimeters of that, you're only going to recover about 10 to 12 milligrams
total of hair to do all of these tests plus recovery or plus stability of the
sample. There's something inherently wrong here.
Dr. Caplan: What's wrong is the 3.9 centimeters has to have 75 milligrams. You
may get more.
COL Jacobs: Any other comments on this? Is it clear now what the 3.9 means?
Mr. Crouch: No, it is not. Are you saying on D-2, you're going to collect 75
milligrams and it will be represented in 3.9 centimeters or are you going to
collect 75 milligrams total?
COL Jacobs: Just a minute, I see some heads nodding out here. Someone pop up
because I'm not the one that's going to have to do this.
Dr. Kidwell (Navy): The intent was that in the 3.9 centimeter section it will be
75 milligrams. So the example earlier of Donna Bush's hair was probably
incorrect or misleading. We're talking about a sample about the size of a
pencil lead, the lead of a pencil when compressed.
Mr. Crouch: On someone with short hair, 75 milligrams is quite a bit of hair.
Dr. Kidwell: That's correct. And there was some discussion I think that we
originally batted around 100 milligrams of hair and then we came out with 75 as
a compromise. But you're correct, it is a lot of hair.
Mr. Stephenson: We can tie this one to the other one to clarify it.
COL Jacobs: We will put that aside.
Dr. Bush: We will have to tie D together.
COL Jacobs: We will tie D up in one bundle of hair. D-6, deter
tampering/adulteration. I won't plead ignorance. I don't think we're quite done
with this.
Ms. Bernstein: You're saying you're not done with that?
Dr. Bush: More discussion is needed so we will leave it as an I now.
COL Jacobs: B-7, transportation of specimen. Does anyone have any trouble with
the transportation of the specimen. [NO RESPONSE.]
COL Jacobs: I would propose that we can satisfy the requirement for
transportation of specimen and there is no problem with this. Is there any
discussion? Are there any opposed? [NO RESPONSE.]
COL Jacobs: Done.
Dr. Bush: That changes from a P to a blank.
COL Jacobs: G-2, short and long-term storage. I don't know if it ties into D-3
or not. Does anyone have any problem with this?
Dr. Sample: I think if we are satisfied with the room temperature for the
current analytes, but if any analytes are added down the road, it would have to
be looked at individually.
COL Jacobs: I propose we move this to a blank. Does anyone have any comments? So
let it be. G-3, can identify unadulterated substituted specimens. G-4, initial
test, the FDA clearing. That is in the big FDA pile. It needs to be addressed.
And do we want it?
Dr. Bush: We will deal with that later.
COL Jacobs: G-4B. We still have to discuss what we are looking at for THCA and
where we want that cutoff to be based on what is the confirmation cutoff. G-4C.
That fits in the same one as before when we talk about all of our cutoffs. I
think that we do have numbers that we are close to agreeing on so if anybody
doesn't like these numbers, please get with us, because what you see is
probably pretty close to what we're going to propose. G-4D, performance around
the cutoff. Does this look like a reasonable proposal that can satisfy the
requirement by challenge samples at 75 percent and 125 percent of whatever
cutoffs we have? Are there any comments? Is anyone opposed to saying that that
can be met? Okay, we can take that one off.
Dr. Bush: So that becomes a blank?
Dr. Vogl: If you're going to change that one, I think you could change 4-C.
COL Jacobs: What we can say is we can reach precision around the cutoff. And
let's say marijuana is one, that's fine. We can go from .75 to 1.25 but we may
want to go back to marijuana and say we're going to make it 1.2, which we still
can meet for on 4-D, but we will be changing 4-C and so until we know what 4-C
is. We don't want to accept it, but we can do 4-D and then when we change it if
there's a change to 4-C, we will still have to meet 4-D.
Dr. Vogl: Are you going to use spiked samples or real hair samples?
COL Jacobs: Spike samples. Anyone else?
Dr. Isenschmid (DTAB member): Is this what laboratories are currently doing?
Dr. Selavka: They spike, and there are two ways to spike into a blank solution
or spike into an extract of a negative hair. Different laboratories do it
differently. There are good and bad reasons to do it both ways.
Mr. Jones (DTAB member): How is that any different from external exposure in a
donor, spiking versus the exposure?
Dr. Selavka: In laboratories, when you're trying to do your validation study,
when you're using your immunoassay, you have to have something in which you
have a known value of drug. The drug and metabolite usually both challenge your
instrument with it and see if your response is equivalent to that which your
standards have set up. You have controls first. Later on if you want to
validate the method, you're going to have to use them as the quantitative
standards in an environmental exposure situation. You would have hair itself in
an experimental protocol and expose it to vapors and cocaine or powdered
cocaine or heroin or whatever, and see whether you wash protocol can tell you
whether that sample has been contaminated. It's a very different kind of
experiment from the laboratory's point of view.
Dr. Sample: Doesn't this item relate to the assay itself and not to how controls
are prepared? Shouldn't the discussion about controls themselves come under
Section H and then we can talk about proper type of control? I think I hear
what your saying is that the assays can reliably differentiate at the cutoff
within plus or minus 25 percent. How you determine to make that control
material is another matter that I think will come out under Section H and I
would recommend taking this to a blank.
COL Jacobs: Does anyone have any opposition to taking it to a blank?
Dr. Mitchell (RTI): If I remember right, you were talking that there are
different immunoassays that are used. Are all of those capable of meeting the
plus or minus 25 percent criteria?
Dr. Selavka: We are told they are. The data will have to support it or refute
it. But we think that's stringent enough criteria for immunoassay.
Dr. Bush: If we establish the requirement, then I assure you the kits will be
manufactured and precision shall follow. They will be manufactured to be able
to do it. It's happened in the past, and I'm thoroughly counting on it again in
each matrix center that we look at.
COL Jacobs: This is the group that could do it. If they say they could do it, we
could hold them to that. Okay, move to a blank and turn the page. G-4E, the
ability to repeat the initial test. Unless this ties back into the 75
milligrams, and I'm not sure where we ended up on that. There is enough to
repeat the initial test because we have an example, do we want to tie this into
others.
Dr. Bush: Yes, tie it to D. It will be an easy evaluation next time if it is
tied.
COL Jacobs: What is the issue with the 75 milligrams of hair? Denny, can you
state that again so we have clear direction or would you like to attend the
meeting?
Mr. Crouch: Yes and no. It wasn't clear to me the way it is written that what
you're doing is trying to collect a sample such that the proximal 4 centimeters
is 75 milligrams.
COL Jacobs: Then we will have that section rewritten, which should clarify about
four of these areas.
Mr. Crouch: You may want to look at that because that is a lot of hair off a
person who has short hair. If you look around this room, there aren't a lot of
people who have 4 centimeters of hair. I don't know what the ratio is, but
several people wouldn't qualify. So you would be taking a good hunk of hair.
COL Jacobs: I think you're right.
Dr. Selavka: There will always be some in the population whose head hair doesn't
allow for this type of collection. That's why we have the other body source
availability. Frankly, if there's no other body source availability, then
another drug test would ensue.
Mr. Meeker (PharmChem): If you have another body source, doesn't that grow at a
different rate? If you're trying to establish this 90-day window, then the rate
of hair growth period from a different body source -' what I heard you say
earlier, you're trying to establish 90 days of use. It just seems like with
shorter hair, you're not going to do that.
Dr. Selavka: You're right it is different. What we wrote is - and we're now on
page 4 which is at D-2. Hair collected from the ultimate body sites must on
average be longer than 1 centimeter but will not be trimmed by the laboratory
if the average length is greater than 3.9. That was based upon a long
discussion about our lack of full understanding of cross-populations of the
growth rate with all other body sites. Head hair, at its apex, has been very
well characterized, but the other sites not as well. So this gives light to
that fact that this may extend beyond 3 months. It may be less than 3 months,
depending upon the collected sample.
Mr. Meeker: Item 2, you're allowing the 1 centimeter link for the hair on the
top of the head. Now, you're talking about 3.9. There's a three-fold
difference. Couldn't we say it has to be a minimum of 1 centimeter at least 75
milligrams of hair?
COL Jacobs: That is what we are trying to do.
Dr. Selavka: That is well stated, thank you.
COL Jacobs: G-5a, Page 19. We're done with this.
Dr. Bush: Do we just leave it as P and move on?
COL Jacobs: We'll leave that a P. It's possible we need to work on it. Does
anyone have any comments on it or any further input on it, or what do you think
we need to include on this?
Dr. Selavka: Larry Bowers has done a lot of work on the algorithms on this.
COL Jacobs: G-5b, Page 21. Here, we're going to have to talk a little bit
further about those. Are we down to one we need to talk about?
Dr. Bush: It's already a blank, but there is still more needed discussion.
COL Jacobs: In other words we can satisfy the requirements, but we haven't
decided what the requirements are?
Dr. Bush: Exactly, how to do to that, to establish the cutoffs. Okay, fine.
COL Jacobs: G-5c. The cutoffs reflect drug use. I think we need to define the
fact that it's positive. We need to know what those cutoffs reflect in terms of
drug use.
Dr. Bush: Which one are we on? Page 22?
COL Jacobs: This is the same issue we had before.
Dr. Vogl: It's precision around the cutoff.
Dr. Bush: This is just confirmatory.
COL Jacobs: Does anybody have any problem with saying t his can be met? The
laboratory suggested it so they will meet it. I propose we move it to a blank.
Does anyone have a comment? [NO RESPONSE.]
COL Jacobs: Page 23.
Dr. Bush: This may be where studies are developed for presentation next time.
COL Jacobs: QC/QA, Page 24, the certified laboratory programs.
Dr. Selavka: New York State has already established the investigation criteria
for laboratories that do hair. They've already inspected at least one and I
think two laboratories, now.
Dr. Bush: What's going on with Florida? We don't know any information on this,
we have nothing.
Mr. Stephenson: We do need a review of the process and maybe some links to some
folks who are doing it. I know we're doing the QC type of work in Florida on
proficiency challenge, but I'm not sure whether they've encompassed this under
certification of laboratories inside the state.
Dr. Selavka: I know Dick Jennings has been out to two of the laboratories to
inspect them against New York state clinical laboratory standards.
COL Jacobs: We will have insufficient information, or is it possible?
Mr. Stephenson: Does it really matter if it's an I or a P?
COL Jacobs: I think it's possible, we just haven't satisfied it all. Does
anybody have a problem changing this to a P? Okay, we'll move it up. Page 25,
external PT samples. Has this been done? We've been taught there have been
external PT samples sent out there, so not only is it possible, but it has been
done. We can satisfy that requirement. Does anybody have any information or
input on any of that?
Dr. Bush: I've never been told about how to do it or how the specimens are
collected. I know that isolated things, that cadaver hair from Europe is
collected and used. Places can get more information on this.
COL Jacobs: Public comments?
Ms. Murdoch (Bensinger Dupont & Associates): BDA is actually in the process
of beginning marketing the proprietary program for hair analysis developed in
connection with Stuart Bogema and we also have a laboratory inspection program
that is underway for hair testing laboratories, forensic inspection program,
and that's also being rolled out.
Mr. Crouch: Are these prevalidated?
Ms. Murdoch: I know there's a protocol for how they're evaluated and
distributed, but I don't know the details so you will need to talk to Dr.
Bogema. He was here before and of course, as soon as I was going to talk about
this.
COL Jacobs: Julie, can we try and get some of that information. That's going to
help us to change this to a blank. Can you somehow get with me or get with the
group so we can look at it and say something is there?
Ms. Murdoch: Sure.
Dr. Mitchell (RTI): As the PT program currently exists, it's called a
performance rather than proficiency. I can see how proficiency could fairly
easily be done, but can we do performance testing in hair? I think there's
still some questions in that aspect.
Dr. Selavka: Can you differentiate the two for the record?
Dr. Mitchell: Proficiency is can the people analytically get a correct answer.
Proficiency, I mean proficiency performance, looks at the entire system through
which the samples are tested. From what I have heard so far, I am not sure that
we are currently, technically capable of doing that.
Dr. Selavka: Can you say which elements of the process are likely to be the ones
where we have the biggest issue on the performance side so we can address them
in our group?
Dr. Mitchell: I think the variability and the processing of the hair is probably
going to be the greatest problem in trying to set up a performance testing
system.
Dr. Selavka: Once collected, the rest are the preanalytical steps where we are
likely to have the issue with performance?
Dr. Mitchell: While you have a problem, is that since the quantitative values
will vary according to treatment? It's going to be very difficult to determine
whether or not a laboratory has a quantitative difference due to its procedure
of isolating the analyte from the hair, or due to mishandling the hair
somewhere in the process? It's going to be very different or very difficult to
distinguish between those two.
Dr. Kidwell: In the past, three types of samples were sent out, a powdered hair
to just test the extraction ability, whole hair not to be washed, and the third
was whole hair that went through the whole procedure. Whether that would be
helpful now or not, I don't know.
Dr. Mitchell: I understand that, but we still have the same problem with
analytical answers that are obtained and what they mean, if they differ from
laboratory to laboratory.
Dr. Bush: My concern is whether we get reference laboratories and reference
values for this. Where are we going to get the reference laboratories for this?
COL Jacobs: Are we ready to turn the page? We will leave this one alone. The
next one is the laboratory inspection program and I think the way this is
written, an inspection program can be established to inspect and evaluate all
MSs in the laboratory. I think it is not only possible, but it can satisfy the
requirement and I see no reason why we could not do that. Does anyone have any
problem with taking on more inspections? Okay, we will move that to a blank and
turn the page. Now, blind samples. This probably will relate to some of the
other issues. It is probably possible, but we need a lot more information to
tell you how.
Dr. Bush: We will leave that for now?
COL Jacobs: That's correct.
Dr. Bush: Let's leave it until we get additional information.
COL Jacobs: Page 29, certifying scientist review. The working group says yes.
Are there any comments on the certifying scientist review? Are they reviewing
anything that is much different from what we are already reviewing? Does anyone
have any problems with moving that to a blank? Okay, let's do it and turn the
page. Results reported by specific drug.
Dr. Bush: Do we want to link that back to the cutoffs and the analytes?
COL Jacobs: Are we on page 30?
Dr. Bush: Yes, Page 30.
COL Jacobs: Results reported by specific drug, the laboratory report can list
results for each specific drug detected, they can and they do.
Dr. Vogl: Although we may change the cutoffs, whatever we decide, they can do
it.
COL Jacobs: That seems like an easy one.
Dr. Bush: But that may change based upon how we change the cutoffs.
Dr. Selavka: I would say it better not change. We should tell people what we
found.
Dr. Bush: Yes, but we are unclear as to analyte concentrations and are you going
to revisit that?
Dr. Selavka: But as far as the specific drugs, we're saying the same thing.
COL Jacobs: Okay, we will change that to a blank. Page 31. I don't remember this
being discussed at the group. It says yes. I don't see why they can't do it in
a timely and confidential manner, in the same way that urine drug testing is
done.
Dr. Bush: Agree, it shouldn't be any different.
COL Jacobs: Does anyone have a problem with moving this to a blank and turning
the page? Page 32, the same situation exists, standard report form used. They
can use a different form, but it can be standardized. Move it to a blank and
turn the page. Interpreting results. No problem here? We're going to discuss
this a little bit more so we'll leave it.
Ms. Bernstein: I would like to say one thing for the record. The fact was
brought up that maybe marijuana is stronger these days and people feel that
they are being wronged on the testing because of the passive inhalation issues.
We have far more problems with drug testing than we do with passive inhalation,
so we really have very great difficulty with the proposed method here.
COL Jacobs: Because?
Ms. Bernstein: Where it talks about in terms of the review policy, number 4, we
would be opposed to donors offering alternative explanations in terms of
inhalation, passive inhalation, and things of that sort. There are things that
could undermine our whole program, so we are definitely be opposed to that.
Dr. Bush: 4-a on Page 34?
Ms. Bernstein: Why don't we say all of 4?
COL Jacobs: Do you want further studies done on higher levels of marijuana that
are out there now?
Ms. Bernstein: No, we have not identified it as an issue in our program.
Dr. Bush: In the current program as it exists?
Ms. Bernstein: What Bob has said is in the normal course of things, that they're
going to take after X number of years to revisit that issue, that is not being
triggered by anything. We are seeing no problems or no need for any other
alternative medical explanations within our federally regulated program from
the DOT side. I cannot speak for HHS.
Dr. Bush: My understanding is that passive exposure has not been an issue that
has been raised in DOT. It has certainly not been an issue raised in federal
drug testing programs.
Dr. Caplan: She is saying that she can not accept a program for DOT which has
hair testing that allows this type of explanation.
Dr. Bush: Element 4 on Page 34 outlines that passive exposure may contribute to
a hair positive, may be responsible for a positive hair test. Then that is
unacceptable as an alternative explanation.
Mr. Stephenson: My sense is you are asking for clarification and you want backup
testing in this arena, is that correct? This is kind of what you're looking at,
a fall-back position?
Ms. Bernstein: I don't think we're at a point to look at fall-back positions. I
simply want to go on record that DOT does not feel the conditions exist
currently, that passive inhalation is an alternative medical explanation. I'm
not suggesting that we add an expense to our program in terms of fall-back
decisions whatsoever.
Mr. Stephenson: You control for that with the studies we've done in marijuana,
for instance, but we haven't done it for hair.
COL Jacobs: The bigger issue -- those studies were done for marijuana at a
certain level that now that we have much higher levels, then personally
speaking, I get calls occasionally from someone who wants to run the passive
inhalation study. I tell them all that I know, and they say, but with higher
levels, could you say that if that study was done again, could you say that
they would all be negative or that one might be positive? The best I could say
is, I don't know. Does someone want to help me here and say differently? I
think we are saying here is an 'I don't know' and we need to find out with the
current levels of THC if someone can test positive.
Ms. Bernstein: What I'm doing is a little different. I'm responding to the
written piece of paper in front of me. And saying that officially from the DOT
point of view, that we do not support offering a donor an opportunity to
explain these circumstances in terms of - it says the program should be
considered which would put employer funds for an additional test and we're not
supporting that.
COL Jacobs: You don't want to give them an opportunity to say that you got an
imprint.
Mr. Stephenson: You can use this as a place to make that statement.
Ms. Bernstein: That's exactly what I'm doing. This is a statement for the
record.
COL Jacobs: Page 36.
Mr. Davis (RTI): Let me add one thing. While there may be, and obviously are,
some higher levels of THC in marijuana, if you examine some of the data that
has been generated, you may find that the average marijuana collection is not
much higher as it is getting credit for these days. You may want to actually
look at the data before you hang your hat on the position that the levels have
increased dramatically.
COL Jacobs: I agree with that totally. I always try to determine how realistic
the situation is because if they want to set up something that is totally
unrealistic and then ask if the person is positive, I might say yes. But then
they're going to have to address convincing someone that he sat in a phone
booth for five hours.
Page 36, I think that relates to the previous section and we are going to
discuss that at the same time. MRO training, Page 37. I do not see why they
cannot be trained the same way that other MROs are trained.
Dr. Bush: Once we get that information from all the incompletes.
COL Jacobs: I'm thinking it might move up to a possible, but I don't see any
reason moving it further. We'll get more information. I think we can satisfy
it, but until we say specifically they need to know, which probably relates to
the prior sections, those will all tie in and fall out at the same time. Page
38. I think we're still discussing this.
Dr. Selavka: I was wondering what the Board thinks. This is really near
consensus, not comparisons of people to one another, but any person. We do
think that's a fundamental difference between this and saliva testing and urine
testing.
Ms. Bernstein: Can you define those response relationships?
Dr. Selavka: The response would be the extent of the positive you get in terms
of quantification. So if you have 10 doses of a given amount of drug in one
person, their hair will have a certain finding. If you have 20 doses by that
person of the same magnitude in the time period represented by the same 3.9
centimeters of hair, for example, a second kind of use pattern would give you a
bigger answer than the first kind of use pattern.
Dr. Sample: That's true of any biological sample, everything else being equal.
If you correct for creatinine.
Dr. Selavka: Do we do it?
Mr. Crouch: The question is, is there dose response relationship in biological
samples, the answer is yes, for almost all drugs. It may be variable in urine,
but it's still there.
Dr. Vogl: We're just trying to determine if use has occurred. We don't care
about dose time response for urine. I'm not sure why this factor is in here to
be honest with you.
Ms. Bernstein: It sounds to me like it has something to do with marketing, would
be my guess.
Mr. Stephenson: Do you mean the way it's phrased or just in general on the
issue?
Ms. Bernstein: But my question is, is there anything in here that you're talking
about? I understand you're talking about dose responses, or anything you're
talking about having to do with impairment.
Dr. Selavka: No.
COL Jacobs: Denny, did I understand you to say that you think this can be a
blank there because there is, with any biological, this relationship, or do you
think we need to discuss it further?
Mr. Stephenson: Is this a dose response or dose detection relationship? If
you're talking about in terms of giving a pharmaceutic to someone and you're
looking at a dose given and a response detected in terms of impairment, for
instance, or in terms of pharmacokinetics, then that's different than what
you're talking about here. Because you're talking about dose detection. In that
sense you're saying there is a relationship between the number of doses given
and the size of the quantification of the results. But that's not the same
thing as dose response, is it? Or am I mistaken?
Dr. Selavka: I'm just reading the matrix. We didn't make the matrix, but it says
related to the time and dose that drug use occurred. I don't know what the
input of the Board was when they wrote this.
Voice: I think it was the intent of the original conception of this matrix that
this particular element response referred to the analytical response and had
nothing to do with the biological or pharmacological response that might have
been induced as a result of the particular drug or drug metabolite.
Dr. Bush: Was this concept to aid in the evaluation of information presented by
the donor to the MRO? For example, I took dronabinol two weeks ago and that's
why my urine is positive today.
COL Jacobs: I understood it to mean that we could relate the number of doses for
the number of times to the level of drug that we get when we test the sample,
just a straight-out question of if you took it once you will get real level, if
you took it twice you would get more, if you took it over a longer period of
time, you'd get a higher level than a shorter period of time. Is that what the
question means?
Dr. Vogl: If it does, we do not need this. It is not a part of our workplace
program. We want to know only if it is present, that is, positive.
Dr. Caplan: I think the reason for the question was a comparative one, whether
or not as you go across the matrix lines and we have something with urine,
whether or not the others are greater or less than that. It has nothing to do
with pharmacokinetics, only to do with whether or not if we take it. That's why
I was asking the question, whether we take a 30 day or 90 day amount of hair,
is that going to detect people similar to or greater than or worse than what
we're currently doing with the random urine.
Dr. Bush: Let's consider it something like a detection window in an oral fluid.
This is where we're going, the window of detection.
COL Jacobs: So we can move this to a blank? It is answered.
Dr. Vogl: If we change it to detection window, it would make more sense. In
other words, if a person takes a dose of something, at what point, how long can
you detect that dose? In hair, if they smoked a joint, your window might be
that you would have to wait two days until that hair started growing enough or
ten days. There would be a minimum time before sampling, plus you could detect
it as long as it is in that hair when you take a sample.
Mr. Crouch: Implicit in this is you could take a hair concentration of the drug
and determine what the dose was. That's what is implied in this statement.
Dr. Vogl: No.
COL Jacobs: If that is what is implied, I am not sure that I'd be willing to say
that's true for all people. I mean, if we give everybody in this room the same
amount, we are all going to have a different level. That may or may not make
sense to how much we took.
Voice: It is time and dose, not just time.
Mr. Stephenson: Does this lead to minor editing to make sure it does what you
want it to do?
COL Jacobs: Do we need to edit the question, edit the answer, or do we want to
eliminate the element?
Dr. Vogl: In my opinion, it is not an issue.
Mr. Stephenson: Why don't we leave it in the discussion because you have
different opinions, even on the Board.
COL Jacobs: Who wants to leave it as an element? Speak up.
Dr. Caplan: I think we should leave it as an element.
COL Jacobs: Can you tell us why we need to leave it as an element? Maybe that
will give us the answer.
Dr. Caplan: The reason we need to leave it as an element, is in the end when you
write the final regulation to decide whether or not these specimens can be used
for these purposes, you've got to have them in a comparative sense. In other
words, are we going to say you can use a sweat patch for the same thing you can
use a urine for, and the same thing as hair? I don't know the answer to that
until we come out and do this.
Dr. Bush: It is a detection window, establishing the detection window.
Dr. Caplan: Is the detection window adequate for this program?
COL Jacobs: You're saying this should relate to a study comparing all the
different testing methods to say what a dose in one testing system relates to
another?
Dr. Caplan: Not necessarily, but if you write new regulations, we have a urine
regulation. If you're going to add other matrices in there, then are they going
to detect to the same degree that we're now detecting in urine, or are they
going to be better or are they going to be worse. I think you have to answer
that question before you write a program.
Dr. Vogl: Charts have been presented for years relating to different detection
windows for different types of specimens. We already know this.
Dr. Caplan: Then we have the answer.
Dr. Vogl: This is not an issue, it is an applicability of using a sweat patch
for a certain situation, and we need to discuss applicability when writing a
regulation. You may not want to use oral fluid for random test, but you may
want to use it for post-accident testing.
Dr. Jones (University of Mississippi): If I might go back to the genesis of this
table, I don't have in front of me all the sequential edits that have occurred
from its original conception, but this was a series of questions to which we
had no answer when we started. The questions and elements were being developed
to address potentially all future alternative matrices so I would suggest that
you may want to keep it there to allow you to address the issues that Dr.
Caplan is addressing. As you approach regulations, as you approach the writing
of regulations for these particular alternative matrices, but that was why it
was there. It was a question particularly with hair and sweat and saliva that
we originally put the I in. I believe that we didn't have any idea whether any
of these relationships existed or not. Now you're getting data that say that
they do exist and that's good.
COL Jacobs: Does the question itself change the language?
Mr. Stephenson: Why don't we leave it where it is, do a minor rewrite and then
come back because you will be to able to clean this up real easy.
Dr. Selavka: We need to know what the question is.
COL Jacobs: I think the next issue is one of the larger ones that goes on for
several pages. I think that means we have some more work to do with specimen
contamination. And that gets us to the end.
Mr. Stephenson: At this time, are there are any compelling issues the public
wishes to address to the Board? We would make some time available for that
purpose. If not, we will pick this up again in the morning at 8 o'clock. First
up is sweat testing, then we will go through the other alternative matrices and
ask for input and any updates that the members of the industry, from those
alternative technologies, might want to bring to the attention of the Board.
I want to commend the small working group for hair testing. If there's nothing
else at this point in time, this session of the Drug Testing Advisory Board is
adjourned until tomorrow morning at 8 o'clock.
MARCH 9, 1999
Mr. Stephenson: Good morning. This is a continuation of the Alternative
Technologies and Specimens Working Group discussions. As you recall from
yesterday's efforts, we were successful in doing an update to the grid matrix
for accurate and reliable drug testing related to the specifics of hair
testing. We had gone through and reviewed the efforts of the Small Working
Group. We had gone through and reviewed the areas in which there were still
some complications and areas that needed discussion and then we had proceeded
to make changes to the actual grid with recommendations in areas that we still
needed to work on. That was a major piece of work. It is unique also because we
haven't had the luxury or the experience of having other working groups
anywhere near as advanced as this activity was concerned for other industries,
but there has been progress made in other areas despite limitations in how
formally they have met or how large they are and there have been, in the last
couple of Drug Testing Advisory Board Meetings, a focus on hair. We retained
the focus because they are our lead Working Group in the process we're going
through. But today we have chosen to start today looking at one of the other
technologies, and I'm going to have Dr. Bush introduce you to that group and to
the process.
Dr. Bush: As follow-up to what Bob was saying, in our September meeting, we had
some formal presentations by the industry representatives from the Working
Group. It was very good. It established the basis for the work at the top lines
-- the first part of the work that is on every page of your blue hand-out book
-- and the groups that were subsequent to that and submitted a formal report
like we saw yesterday with hair that work has been included also in this blue
book as indications of progress and answers to questions that were outstanding
and some that still remain outstanding. I would like to reflect back to the
sweat patch because we have not heard from sweat as an alternative technology
since that September presentation. In the December meeting, we focused on hair
and on-site urine testing. We have been requested to discuss sweat testing,
review what was presented at that September meeting. It is included here for
memory-jogging purposes. Neil Fortner is here as the industry representative,
and I'm sure he will work through any remaining questions in a manner similar
to what happened yesterday with Dr. Selavka and hair testing with his
follow-through on the Working Group. We will continue in that manner with Neil
Fortner today, and I think Dr. Caplan will be taking the lead on this review
for today's session. I know that Melanie Mallory in the future will be working
specifically and directly as a Board member liaison with sweat testing. We can
begin, Dr. Caplan.
Dr. Caplan: I think Neil is going to give us a quick update.
Mr. Fortner (PharmChem): I am the industry representative for sweat testing. As
Donna had said, there has not been any discussion since we met in September
pursuant to responding to the issues and questions that were asked of the
industry back then. There is, at this point in time, no active Working Group
pursuant to resolution questions addressing the issues we presented back in
September. We have had numerous conversations with HHS regarding that status
and part of the view, as I understood it coming back, is that the Board had not
completed their review -- questions and answers of that information. There
wasn't a lot for the Working Group to actually do as we go through the
checklist and I think Yale will do that. If you will notice that many of the
issues had been addressed back in September, there are some still outstanding
issues, and some of them are program oriented but, nonetheless, there has been
some additional research presented at the recent Academy meetings and some of
the SOFT meetings, but that research, as it pertains to the sweat patch, has
not been presented to the Board. My conversations with HHS indicated that the
Board has not yet had an opportunity to fully digest the existing material, let
alone go into new areas. There is no active Working Group at this particular
time, but that will change as issues come up.
Dr. Caplan: Let me first thank Walt for putting the information in this format
because it was difficult until now to systematically go through this. Although
we have looked at all of this information over a period of time, it was never
in a systematic format that we could go through with and really move positively
or negatively on each of the points. Since sweat is represented mostly by one
product at this time, there is not a large comprehensive group to meet and so
probably the simplest way to do this is going through the checklist piece by
piece. I'm going to look over to Neil each time and say, do we have anything
new here, and then to the Board, do we have anything new, and do the same thing
we did yesterday to identify things which are no longer an issue and we assume
can be moved forward with additional work. In other words, we're not going to
answer the question, what is the training program, but as long as we're
satisfied, for example, that a training program can be done based upon previous
information, we will move that question along and again, try to identify areas
of research or areas of very specific questions to go back to Neil and the
small group he has to do that. Let's start with Page 1 under the sweat group.
Again, some things that have already been cleared are not, to my understanding,
in this list. The first question is that of collection training and I will read
what is on here and then ask Neil if he has an additional comment or update
since some of these things do go back a couple of years and see what the Board
wants to do. The first one has to do with training programs and the notes
indicate that things are similar to hair, with video tapes and manuals have
been prepared and are available. Is there anything additional?
Mr. Fortner: The statement speaks for itself and is the current status of the
training program?
Dr. Caplan: Maybe you could comment on the scope. You trained a number of
people. How has that gone? Is the training done by company people? Has the
training been extended to third party groups yet or not?
Mr. Fortner: The answer to all of that is yes. The training is conducted at
several levels. There is the trainer program and there's also training by
industry representatives. This program has been used most effectively at this
point in the roll out to all 94 divisions of the Administrative Office of the
U.S. Courts. Federal Probation and Pretrial has made extensive use of this
video tape, teleconferencing, on-site training program, as well as other
agencies throughout the country. I don't think I have a specific number at this
point. Suffice it to say, I think there are somewhere between 3 to 500
individual program sessions to train collectors and this is includes how to
apply the patch, how to remove the patch, how to look for signs of tampering,
ensure integrity, proper completion of chain of custody documents.
Dr. Caplan: Any comments from the Board?
Mr. Lucas (Administrative Office of the U.S. Courts): We have approximately 2000
probation and pretrial officers who have been trained in the application of the
sweat patch. In 1998, we used approximately 11,000 sweat patches in supervising
federal offenders, probation violators. In supervisory cases, we have had
extensive experience in using the sweat patch.
Dr. Caplan: Any comments from anybody on the Board? Is there any reason why this
having been a P should not be a blank?
Mr. Stephenson: Just for the group again to review the process that we set up
yesterday of looking at each of these items and then to updating the matrix,
going from either an I to a P or a P to a blank, meaning that -- that's where
we are. Could you just review that and re-state that as a criteria that we will
use today for upgrading each of the components in a similar manner that we did
the review yesterday?
Dr. Caplan: Remember that the first section of the grid gives a summary of all
the elements of the grid and on the first page, there's a key where we have
blank. We had already decided that this would satisfy the requirements prior to
today. A "P" was an indication that it was very likely this was possible, but
we wanted to hear from the industry as to the specifics and experience which we
just did, or "I", there was insufficient information that again, we asked the
industry to provide the information or had a need to obtain that information
from research source that may not yet be available or an N, which would say no,
it cannot satisfy the requirement that ultimately if it can't be moved off,
might be a limiting factor in being able to utilize this material. Our goal is
to move this group forward to have removed the N's and changed the I's to P's
and the P's to blanks and move in that direction systematically. On the early
part of the whole grid, Walt did not reproduce any item on the grid that
already had a blank. We're going to skip over the front grid part where there
are blanks, we don't have pages in the text. Where there is a letter, we do
have a page and that is what we're going to discuss and that coding is
re-entered on the top of each of the pages that we're talking about. On the
first page under training, the center column on sweat, there's currently a P
and the question, that is, that on the basis of what we know today from the
experience of the manufacturer and experience of the U.S. courts, that it seems
reasonable to move this due to the fact that it has been done. I think we want
to remember, we mentioned it yesterday, is that at this point in time we're not
trying to write the regulation, we're only talking about whether the
information is there. At a later date, this will have to be gone over again in
specifics of what this training program is or should be in the eyes of the
government, and the program will have to be restated. We're not going to try to
restate that today and some instances, some of the elements will be stated.
Like cutoffs, once we decide on the cutoffs, they will likely be replaced
directly into the document, but the training program -- there will have to be
some elements of what it will include, et cetera, but we want to get through
this process systematically to ultimately ensure that we have enough
information for HHS to draft the document for public comment. I don't want
anybody to think that once we get through one of these things and move into a
blank, that it's necessarily all over. It just means that we've moved the
process along, where someone else can use the information that exists and draft
that into the legislation. The other thing that is, from a personal
perspective, is that I think we're also trying to look at these things in
conjunction with each other and not each one in an abstract so when one goes to
write the ultimate document, the document will be for all matrices
comprehensively and not necessarily one at a time or one matrix, although there
may be specifics about certain matrices that have to be entered in there. For
example, if they get to the cutoff section, there's likely to be a different
set of cutoffs for each matrix. But when you get to the training, there may be
a very similar thing as to the elements that are required in training. But
that's at a later date. Does anybody have any questions about the process?
Mr. Stephenson: Thank you very much for refreshing our memory and I think it
served us well to do this whenever we begin. It is important that we
standardize this process to make sure that it is consistent across each of the
specimens and the grid.
Dr. Caplan: Do we agree that there is no objection moving collector training on
B-1, from P to blank? [NO RESPONSE]
Dr. Caplan: The next element is certification. The statement is that a formal
certification program including a written examination has been in existence.
There is a training manual. Again, I would ask the two of you who have
experience with that to comment on the use of the manual, whether it's changed
or whatever. Neil?
Mr. Fortner: We have not had any updates or changes to the collection manual
since it was written. I think our last revision was in 1997 and also the
written exam has remained the same as there have been no changes in that
process.
Dr. Caplan: There's a note on here about how to look for adulteration and what
do you do about -- and how do you ensure the patch is put on. Can you comment
on that?
Mr. Fortner: To comment on that, you need to back up a little bit and just
review some general criteria on the patch. The patch is a collection device
that is tamper-evident. It incorporates technology using some material from 3M
Corporation, Tekraderm, which once it adheres to the skin, infiltrates the
upper layers and when you pull the patch off, some of those skin cells come
with it. So it effectively has covered the adhesive, which means you can't
reapply it. Also, if individuals attempt to inject solutions into the sweat
patch itself, which is, for all practical purposes, medical grade blotter
paper, we will see puncture wounds on it and you also see visible discoloring
of the patch, and we've had instances where individuals have attempted to do
that. The other property that you have with Tekraderm is it doesn't allow
anything larger than water to pass back and forth with the attempt to
adulterate it using something like bleach or other solutions. It has the
unfortunate property of trapping that under the patch, and we've had several
instances where secondary chemical burns result because it doesn't release the
bleach.
Dr. Caplan: Have you looked at other adulterants? You mentioned bleach. Are
there other things that react the same way?
Mr. Fortner: We've looked at adulterants in the sense that what you put on the
patch and then how a dose of adulterant affect the ELISA screening assays and
that was all part of the FDA 510K process. We were going into specific ones. We
looked at the bleaches, we looked at some attempts from individuals to try to
flush the patch by using a syringe with water and just pumping water back and
forth across it in an attempt to pull the drugs off the patch. Drugs have a
tendency to be adhered a little bit more physically stronger on the patch. We
end up using a methanol acetate buffer to remove the drug from the patch, so
depending upon the drug, certainly THC is very difficult to flush out of there.
But it does address the question, is there certification and is there tamper
evidence, and that's part of the training program which includes glossy
photographs of the attempted adulteration, and once you physically see people
remove the patch and try to reapply it.
Dr. Caplan: Mr. Lucas, did you want to comment from your point of view?
Mr. Lucas: No.
Dr. Caplan: It's working?
Mr. Lucas: It is working.
Dr. Caplan: With 11,000 patches, did you have any adverse experiences?
Mr. Lucas: No, except for the instance Neil talked about, we have not. We have
had offenders try to remove the patch and put it back on and the officers have
been trained to recognize the sign, so it has been very effective.
Dr. Caplan: Any other comments from anybody else relative to the collector
certification? Again, is there any reason why we can't move the P to a blank
for this question? Any other comments from the Board? [NO RESPONSE]
We will go from P to blank on that. Neil, you started to talk about the next
question, which is FDA clearance, which is a general question for all of the
things we're talking about. This was FDA cleared. Maybe you can give us a brief
-- of what is in the 510K and what it meant to get the device FDA cleared, both
from the collections point of view and from an analysis point of view, if that
is pertinent.
Mr. Fortner: I think that it is. There are really two independent distinct
issues. The sweat patch is a non-inclusive collection device that is
manufactured and produced by Sudamed Corporation, in Santa Ana, California.
They actually own the rights to that particular product. In 1990, they had
submitted, or actually prior to 1990, they had submitted and received clearance
from FDA as a collection device under the Medical Device Division. So that
process in demonstrating that the use of Tekraderm with medical grade blotter
paper would not cause adverse reaction as a hypoallergenic. And certainly
Tekraderm has been in use for many, many years in clinical applications,
securing IVs, catheters, wound dressing, for that matter. So that's the
process. Under FDA, for the medical device and in the presentation that I
presented to the Board, that presentation had copies of the letters from FDA.
One was October 1990 as a medical device and then subsequent applications were
in 1995 and 1996. And we'll probably get into those a little bit later, but
those specific clearances in '95 and '96 were specific and unique for
demonstrating to the FDA Scientific Advisory Board that the sweat patch could
in fact detect the use of drugs. That's a much longer process that started in
1992 and took several years to complete and involved a wide variety of clinical
trials, controlled dose studies for all of the classes that it was ultimately
proved for, which are amphetamines, cocaine, opiates, marijuana, and PCP. The
only exception was that, for obvious reasons, we were not able to get approval,
or Sudamed was not able to get approval, to administer PCP to volunteers, not
that there was any lack of participants, but there were some issues in there
and so the PCP data is from a self-report. The other classes of drugs didn't
have controlled studies, stability studies, which I'm sure we will see later
throughout the questions.
Dr. Caplan: Again, are there any other comments? I think there are two parts.
One is if there's a special device where means of collection and the other is
the analytical technique. It's my understanding that only the device has FDA
clearance and not any other part of it, or part of the process.
Mr. Fortner: The actual testing for detection of drugs went through an FDA 510K
utilizing the sweat test.
Dr. Caplan: And what immunoassay?
Mr. Fortner: ELISA.
Dr. Caplan: I want to be clear. The FDA approved both the ELISA device and the
technology?
Mr. Fortner: The device, ELISA technology, screening, and GC/MS confirmation.
Dr. Caplan: Can you comment on the potential for variations? We look at this as
not the only product, but there may be other products ultimately and one of the
questions about what the FDA clearance is what we might require to be cleared
from the point of view of the ultimate document and that question, whether that
includes a device separate from the method at least in my mind, so in this case
you have cleared the device?
Mr. Fortner: In this particular case, you have a device that is separately
cleared from the methods themselves.
Dr. Caplan: The question is, are the methods otherwise cleared or approved by
the FDA? Are you free to use the device with some other immunoassay technique?
Mr. Fortner: I believe there are a variety of immunoassay techniques. RIA
includes some of the more sensitive polarization assays -- are certainly
capable of detecting the levels that you see in sweat. I'm not sure if I fully
understand that question or issue.
Dr. Caplan: It's whether or not the device is approved using one technique or
can it be used by other people with other techniques in accordance with what
the FDA has approved?
Mr. Fortner: I believe that going through the FDA 510K process demonstrated
equivalency and deduction. I believe you could use other technologies that were
similar technologies to ELISA or immunoassay screening coupled with
chromatographic confirmation.
Dr. Caplan: Without going back to the FDA for additional approval, that was the
question.
Mr. Fortner: Yes, I believe those are comparable technologies involved.
Dr. Caplan: What I was trying to get at as we go across the grid, the
fundamental question will be, what are we going to require for the assay
process. We talked about that right now, we have in urine, an FDA approved
assay. We talked about it with hair, and I just wanted to include that in the
discussion here that whether or not we're looking at a process where the
analytical technique would require FDA approval. Anybody else from the Board
want to comment? Let's talk about the device first. Did the devices need FDA
approval in our opinion, and do we have enough information to change this from
an I to either a P or a blank?
Mr. Stephenson: One of the things to think about here is we cannot speak to
FDA's role or their authority or the determination to provide oversight in
these areas. We have some pending decisions that have not been rendered in this
area independent of what we might say, FDA is a separate authority. They know
that even better than we do, in our experience in working with them. What we
need to do at this point is to address whether or not an individual device has
been cleared, but not necessarily to address the need for that clearance. If we
are successful in getting clearance and make the recommendation, that could
carry weight back to the FDA, but it might not make the determination in our
favor, eventually anyway. You have to decide how you feel about this and give
your best guidance to us. I'm not convinced that what we say they should do,
they will necessarily do.
Dr. Bush: They have made it clear that they are open to our discussions and will
entertain any recommendations that the Board makes.
Dr. Sample: I think there are two separate questions here. One, do they need to
be FDA cleared? Does the container or has the container been cleared by the
FDA? I think in this case the answer is yes, then we can move this from an I to
a blank, then perhaps halt the discussion to whether we're talking more
generally about whether FDA clearance is required.
Dr. Caplan: We are moving the question from I to blank, leaving the further
discussion up to method, because I think that will come up at the end. As to
whether or not the test will have to be done by an FDA approved method, does
everybody agree that we have enough information to go from I to blank on this?
The next question is, the ability to do multiple testing. The sweat patch is
currently screened for the five drugs and I think all the drugs which are in
the mandatory guidelines have been included. This question has to do with
whether or not the size of the patch and the materials are sufficient for doing
at least two confirmation tests. But is there adequate material for doing a
second follow up test?
Mr. Fortner: Yes. After the initial screening, there is sufficient sample to do
at least two GC/MS confirmations. We have instances where we have done more
than two and found that you can actually go back to the patch and get more
drugs off the patch because the initial process doesn't pull everything off and
the patch is retained in this container indefinitely until ultimate disposal.
Dr. Sample: What percentage is removed off of the patch with your first elution?
Mr. Fortner: Somewhere between 60 and 70 percent is eluted from the patch.
Dr. Sample: How much would you remove with a second elution?
Mr. Fortner: You will get 60 to 70 percent of what's left, typically looking at
the levels. We've not had any issues going back to those cases. For instance,
in some we've gone back to do a D/L isomerization differentiation and found
that we can pull adequate drug off of that, certainly at the cutoffs to provide
detection well above the cutoff levels and even limit of detections if you go
to that level.
Dr. Isenschmid: I want to clarify what's on this paper. It says at least two
confirmation tests. Are we talking about two particular analytes or up to five
analytes twice?
Mr. Fortner: That pertains to two classes of drugs. Typically we don't see a lot
of polypharmacy in the sweat patches. We see they're predominantly positive for
one class of drugs, but you could do a cocaine and amphetamine off of the
material.
Dr. Sample: I understand you do one elution and with that one eluate, you're
doing all of the screening and confirmation off of the single eluate?
Mr. Fortner: Yes, off of the single eluate.
Dr. Caplan: A simple eluate off of the whole patch?
Mr. Fortner: That's correct.
Dr. Caplan: When you say there is sufficient specimen released to do at least
two confirmation tests?
Mr. Fortner: To do two confirmations by just splitting the eluate.
Dr. Caplan: Any other comments or questions? The question is whether or not the
patch has sufficient volume to do the testing. Does anybody have any thoughts
about that?
Dr. Bush: A question concerning retest?
Dr. Caplan: That's the next question. The split is the next question. They are
linked. Maybe we ought to do them together before we decide on one because the
question on the next page is the potential for split specimens. The way I
understand it, there has been additional thought given to that, but that is not
necessarily the way the patch operates.
Mr. Fortner: That is correct. There has not been a request to do split specimens
in the formal sense of how you would define a split specimen under the program.
Two independent samples, one tested and one not tested. I mean, it's certainly
possible to do that if you wanted to either put two patches on or modify the
existing patch to have two absorbent pads that would increase the physical
size. That is not problematic. I really believe that D-2 is a separate question
from D-3. D-2 says is there enough to do multiple tests and D-3 says split
specimens. My interpretation would be under the formal program, you would have
to apply two patches at this point to do split testing.
Dr. Caplan: Would you apply two patches or would you create a patch that is two
component parts?
Mr. Fortner: If you wanted to do it tomorrow, you would apply two patches, but
the manufacturing process to do a dual component is not that difficult. It
would require a few months lead time.
Dr. Caplan: Would that require FDA evaluation?
Mr. Fortner: It just physically increases the size, and I wouldn't believe that
that would require a resubmission.
Mr. Good (Avitar): I wondered, and perhaps this applies to multiple testing
about different analytes, whether there has been any consideration given to
accumulation of DNA or PCR testing to identify who the actual donor of the
sample was.
Mr. Crouch: You have a schedule so the potential is there.
Mr. Fortner: If you wanted to retain the polyurethane covering, which in some
cases we have agencies that send it to us so that we can inspect it to see if
there has been an attempt at adulteration. There are epithelial cells on that
product. It is not something we have gone through to investigate that, but
certainly the potential exists.
Mr. Crouch: Neil, do you know how homogeneously the drug is distributed in the
patch? If you cut a patch in half, would you have concentration on each half
being the same?
Mr. Fortner: Given the physiology and the excretion of sweat, I would expect it
to be fairly homogenous. You could cut it in half. We have no specific studies
that demonstrate that. That is fairly straightforward to do if you so desired.
Again, if you're going to do a split along those lines, it would be much better
to have two patches as opposed to physically cutting it. Then you've got to
worry about other issues of contamination and identification.
Dr. Caplan: The next question is whether or not the feeling is that there is no
sufficient information that the patch collects an adequate specimen to do the
testing which would change this from an I to a blank. Does anybody have any
thoughts?
Dr. Sample: I have a question for perhaps not just for sweat, is the use of one
eluate. Does that really entail a two aliquot type of methodology that we are
used to in the more traditional screening techniques. And I think this question
really cuts across multiple alternate technologies. If you were to develop a
system that is exactly analogous to what is being currently performed in urine
based screening, might then require a second elution from the sweat patch on
the basis the sweat patch is the collection device just like a container is a
collection device.
Dr. Bush: Alternatively, one could consider that initial eluate, the original
specimen, then take an aliquot from that for screening, an aliquot from that
for confirmation. You're right, that is absolutely a possibility, but I think
we need to come to a decision as to what constitutes a specimen.
Mr. Stephenson: Do you want to hold that thought for this purpose here and look
at that as one of those issues we will address across the specimens? Maybe I
would ask for thoughts from the different small working groups.
Dr. Sample: That's essentially where I was going with that comment.
Dr. Bush: That applies to any oral fluid collection device where you would have
a pad where you perform an initial extract which then becomes the volume from
which aliquots may be taken, so point well taken.
Dr. Sample: That's why I raised the issue.
Dr. Caplan: Do you raise that issue such that it questions whether this is an I
further, or do we want to deal with that as a separate issue?
Dr. Sample: In my mind, we need to answer that first question, the question I
just raised first prior to moving these from an I to a P or to a blank.
Mr. Crouch: I think that's a different question than split specimen sample, but
it's still multiple testing.
Dr. Caplan: Multiple testing could be construed as, is there adequate volume
here. I think that's probably answered yes. Another question which may not be
directly on this grid, is whether or not the specimen is subject to aliquoting.
Again, we can hold this. Let's hold this question and leave it as an I in light
of looking at this other issue. Have we thought about maybe just taking the
patch and inserting it in the liquid and then the liquid itself elutes and then
the liquid becomes the specimen?
Mr. Fortner: Into a disposable transfer vial. There's 2.5 milliliters of
methanol acetate buffer and it goes on a horizontal shaker for 30 minutes and
then we use what is analogous to a serum separator that goes inside the tube,
presses the patch down to the bottom and the fluid goes up, and the patch stays
in the bottom.
Dr. Caplan: It can be identified in the future? You didn't make a transfer?
Mr. Fortner: The patch stays inside that original container.
COL Jacobs: I think we can satisfy the requirement. I think we have some means
here to say if you need two patches or three patches, we can satisfy the
requirement. I don't know if we need to get into the details of how exactly
someone is going to satisfy those requirements here. But I think Neil has laid
out that it can satisfy them and if need be, it can be done.
Dr. Sample: Are you talking about from the multiple testing standpoint or the
split specimen's standpoint?
COL Jacobs: Both.
Dr. Caplan: The recommendation was to leave this alone and add this other issue
to it. Is there anybody who wants to change that?
COL Jacobs: I think they should both be blanks here. I think they have been
answered, they can be answered. You can meet the requirement.
Dr. Caplan: Any other comments? We have one dissenting vote. I mean, we're happy
to move on. Whichever way, we need to make a decision.
Ms. Mallory (DTAB member): I think it does meet the multiple testing. He stated
himself that in the formal sense, it does not meet the split, but I do think it
meets the multiple testing.
Dr. Sample: From my standpoint, I think just the opposite. I have a question
about the multiple testing that I think we need to flush out in general for all
of these alternate technologies.
Dr. Caplan: I'm going to make a suggestion that we move this from an I to a P
and then continue to discuss it further so that it has moved up a notch. But
since we don't have all the answers and we're not going to get them all today,
let's leave this and we can come back to it when we go across the matrices with
the question about whether what constitutes the original specimen. Does
everybody agree to move it to a P? And this is D-2 and it's also D-3. Let's
take D-2 first. D-2. Do we have agreement to move this to a P? We've answered
some of the questions. We do have information but we are now less uncertain
about one point.
COL Jacobs: Have we clearly defined what the questions still are so everybody
knows how the next step will be taken?
Dr. Caplan: The question is whether the original specimen can be effectively
aliquoted for multiple testing, not whether there's sufficient volume that the
patch can collect a sufficient specimen. The question that remains is whether
there is the ability to aliquot that so that you won't always be working with
the same aliquot for all of your tests.
COL Jacobs: I don't understand. Let's say we have a bottle of urine or a bottle
of fluid taken from a sweat patch. What's the difference between the two fluids
and aliquoting for testing?
Dr. Sample: The difference is the laboratory has processed that specimen, if you
will, in order to produce that aliquot, which is not the case with urine and a
collection container coming straight from the collection site.
COL Jacobs: You're talking about a fluid and pouring some of the fluid. We have
to deal with what we have here.
Dr. Caplan: I think the question is whether we go back to the original bottle
for a second aliquot where that's possible.
Dr. Sample: And whether it's a requirement.
Dr. Caplan: That has not been necessarily demonstrated.
COL Jacobs: You want to go back to the original patch for the second aliquot as
opposed to going back to the fluid produced to get the second aliquot?
Dr. Sample: No, I'm not saying that necessarily. I just think we need to answer
the question whether or not there is a requirement to do that. As we're talking
about the sweat patches, we're talking about salivas, we're talking about hair.
Do we have to go back to that original specimen which is either the patch, the
saliva swab, or the hair follicles and re-generate that eluate with that digest
in order for it to be a second aliquot. I think that's the question we need to
answer before we can adequately answer D-2 for all of these technologies.
Dr. Caplan: Do we want to make this a P?
COL Jacobs: That's a move in the right direction.
Dr. Caplan: We will continue with that question across the board, so we will
change this I to a P.
Dr. Bush: I suggest that Board members take a look at the pros and cons and
evidentiary requirements.
Dr. Caplan: Do you want to do the same thing with D-3, the split?
Dr. Isenschmid: I have one more question on the split, and that is, if you
actually went to the two patch system, what would be the homogeneity between
the two patches in terms of collecting them from different sights?
Mr. Fortner: That has been looked at. In fact, in the 510Ks, patches were
applied to a variety of places on the body. Typically, it's placed on the upper
arm, it can be worn on the back of the lower rib cage. All the studies from the
clinical control dose where they were wearing many - I think the largest study
put 17 patches on an individual - their controlled dose and you're looking at
patches being taken every hour or every several hours and they showed no
statistical differences in patches collected from various portions of the body.
Mr. Crouch: But isn't it true the distribution of the sweat glands is not even
across the body? There should be some variation depending upon where it's split
and what the density of sweat glands is in that particular are?
Mr. Fortner: That is correct, I did say that there were no differences in the
levels when we went through and did statistical analysis. They weren't
statistically different for the areas we were applying. If you look at the
lower rib cage, the upper back and the arms, I think the upper arms are going
to have similar sweat. Now if you look at the palm and the hands or the bottom
of the feet, a completely different scenario. I would expect much higher levels
in those areas just in the production of sweat.
Dr. Caplan: And the time frame for application was what?
Mr. Fortner: How long did they wear those? They have to wear them at least 24
hours and some of these studies went out a better part of a week.
Dr. Caplan: Anything else? Any other questions on the potential for split? Is
there any reason not to change this to a blank? We will move this from an I to
a blank. Page 6 is D-4, stability and storage. Do you want to comment on that?
Mr. Fortner: Sure, if you just go through and read the summary of this. Under
the 510K, stability in patches was required to be demonstrated. We had both
worn, and unworn. And the issue here is stability of the drug on the patch
itself. We have multiple studies where you had both worn and unworn patches,
drugs applied to it, subjected to a variety of storage conditions, including
shipping them to other sites and shipping them back and then going through the
process that was outlined in the 510K elution for this material and screening
and testing to look for differences in stability. We haven't gone to it here,
although I can tell you on retest samples, we found the drugs in the methanol
acetate buffer are very stable, capped at minus 20 degrees or lower.
Dr. Caplan: That's eluted?
Mr. Fortner: Right, we went for as long as 28 days just looking at stability of
the drug on the patch itself.
Dr. Sample: That was part of your initial filing, but have you done any
subsequent studies for a period of time longer than 28 days?
Mr. Fortner: No, we haven't. Under the current program, we don't have anybody
that holds a patch for 28 days before they send it in for testing.
Dr. Sample: But what about after you've received the patch?
Mr. Fortner: Pending processing, holding it? Well, we haven't done anything
beyond the 28 days again, because our turnaround time is mandated by the
client. We don't store them.
Dr. Sample: If you were to do a second eluate, as you mentioned, you had the
capability of doing the second eluate. What's the longest after being stored
that you could do that?
Mr. Fortner: Our experience right now is somewhere between six and eight months
of doing the retest of the initial eluate. The original patch has already been
eluate so it's like having the liquid sample. We haven't done more than 28 days
of a spiked patch, non-eluted.
Dr. Sample: Earlier, didn't you say that you could do a second collection and
recover drugs on the second elution?
Mr. Fortner: Yes.
Dr. Sample: What is the longest time interval between the first elution and the
second elution that you've ever done and still have been able to detect
evidence on the second elution?
Mr. Fortner: That's what I referred to as the retest in the six to eight month
window where you've had to go back and re-elute to be able to do a D/L isomer.
Dr. Caplan: Any other questions?
Dr. Mitchell: Has the stability data for all of the analytes been conducted in
the long term?
Mr. Fortner: Long-term meaning after they've been eluted?
Dr. Mitchell: No. On the patch itself?
Mr. Fortner: Yes, all of the patches had up to 28 days for all analytes.
Dr. Mitchell: We haven't had the data for say, a year, like the stability data
we would have in urine or in hair, for example?
Dr. Sample: You indicated in a retest for D/L. You had gone six to eight months?
Mr. Fortner: Right.
Dr. Sample: Have you done other analytes other than D/L in a retest scenario in
that six to eight month time frame where you've had to re-elute off the patch?
Because that only occurred with the D/Ls, have you done it with all the
analytes?
Mr. Fortner: The re-elution has typically only occurred with D/Ls. We have had
retests by other laboratories that are in that time period for cocaine, but
they do not involve re-elution.
Dr. Sample: That was from the original elution?
Mr. Fortner: Right.
Dr. Sample: So there really is no stability study on the patch itself, off of
the patch, for longer than 28 days other than for D/L amphetamines?
Mr. Fortner: Correct.
Mr. Crouch: Don't you store the patch at room temperature?
Mr. Fortner: When we receive it, yes.
Mr. Crouch: So you have 28 days at room temperature.
Mr. Fortner: The stability studies are for 28 days.
Speaker: I think you're getting to your question of the re-elution of the patch.
I don't think that is an appropriate scenario because depending upon the level
you're dealing with, we're getting 60, 70 percent off the original extract and
we had to go back and re-elute. We had 67 percent of what's left, then
quantitatively, we may be below the cutoff so I don't necessarily think that is
applicable in that situation. As far as stability, I'm getting kind of confused
because when the patch comes in, we put it through the extraction process
originally and it is stored in that liquid.
Mr. Crouch: What I'm trying to equate this to, and I think what other people are
trying to equate this to, is urine stability, not more urine samples, are
present in testing your stability is at room temperature for 28 days, but you
really don't store these and you haven't taken those extra measures to see if
the sample is optimal.
Mr. Fortner: The samples that are possible, the eluates go into long term frozen
storage. The dry patches and cell stability study is what was submitted to
demonstrate stability on the patch prior to elution. Now their deviation is one
variation of the question. Stability of the drugs in the eluate. Is that your
issue, were stability of the drugs not eluted off the patch that's in the
container?
Dr. Caplan: Certainly the stability in the eluate would be parallel to keeping
urine for a year and seeing whether you still could recover the drug.
Dr. Sample: No, I don't think so. I think stability on the patch.
Dr. Caplan: One question is whether or not after you've done the analysis on the
eluate, whether you can re-construct that analysis within what time frame to
reconfirm that if that were necessary akin to saving urine for a period of time
for that purpose. The other question is how long it is stable in the patch and
whether that is an important consideration or not. There are two stability
questions and the net result is that you've got 28 days on the original patch,
how long do you have on the eluate? Have you done that?
Mr. Fortner: Not for all analytes.
Dr. Caplan: It is a question we want further information on.
Mr. Jones (DTAB member): I think this goes back to the original question, D2.
What is the specimen, what do we consider the specimen.
Dr. Baylor (RTI): Are you covering G-2 as well as D-4? G-2 is laboratory
testing. It's the short- and long-term storage to ensure specimen integrity.
That seems more likely eluate, extraction stability. This I believe is more in
the shipping of the specimen.
Dr. Sample: It's just the time frame to the laboratories so we may be jumping
ahead.
Dr. Baylor: It seems like we've integrated D-4 and G-2.
Dr. Caplan: Some of the questions do unfortunately.
Dr. Baylor: This would be more than a dry patch for 28 days.
Dr. Sample: If you were to separate out the storage essentially from the time of
collection to the time of arrival at the laboratory, which is the way you
should interpret D-4, that would be one question. Then we'd get into the
stability on the patch and the stability of the eluates, perhaps as G-2.
Dr. Baylor: For urine, they're kind of the same. But for this, they are
separate.
Dr. Caplan: Why don't you frame what you would like covered under D-4 and G-2
separately.
Dr. Sample: I think the question for G-2 is have you studied the stability of
the drugs on the dry patch for greater than 28 days and have you studied the
stability of eluates for all the drugs for say, 12 months, which is the
standard of the traditional urine based screening?
Dr. Caplan: No matter how you look at it, that data is not available, whether
it's G-2 or D-4.
Mr. Fortner: I'm not sure about D-4. My interpretation of D-4 was pursuant to
stability, shipping, product. I mean, whether it's a sweat patch or an oral
fluid or hair to the laboratory. And I think D-4 is separate from G-2.
Dr. Sample: That is what I was just saying. I think those two questions I just
posed really relate to G-2 and not to D-4, and I really think there is enough
information presented here to answer D-4. But all the discussions we had are
going to come up.
Mr. Fortner: I didn't say that.
COL Jacobs: Are you saying D-4 should move to a blank?
Dr. Caplan: Yes, that's what we're coming down to. The D-4 should move to a
blank.
COL Jacobs: Then let's move it to a blank and turn the page.
Dr. Caplan: All the discussion about D-4 applies to G-2. We might as well
dispense with that right now. Do we agreed then that D-4 is a blank but G-2 is
still a P?
Dr. Sample: I think G-2 is still a P.
COL Jacobs: Let's wait till we get to G-2.
Dr. Caplan: I don't want to do it twice -- an I to a blank on D-4. Page 8,
collections, procedures, specimen integrity, evaluation. Do you want to comment
on that, Neil?
Mr. Fortner: I think we already covered part of this in the collection
procedures with respect to the training examination if the patch is adulterated
and it was compromised in any form or fashion.
Dr. Caplan: Any other comments on that?
Mr. Lucas: Yes, I would like to say that six federal court judges reviewed the
chain of custody procedures and upheld the test results of the sweat patch.
Dr. Caplan: Do we have enough information to move this? This can move from an I
to a blank. Now, collection procedure to deter tampering/adulteration.
Mr. Fortner: I think we've already discussed all of this.
Dr. Caplan: Any other comments?
Mr. Schoening (DTC): The question is, the adhesive you use as manufactured by
3M. Can it be reapplied by a donor in an attempt to reapply the patch? He's
taken it off his arm. He has Tekraderm. Can he go and put a coat of Tekraderm
and have it reapplied and would it hold and would that be detectable?
Mr. Fortner: Could they get access to the specific product Tekraderm if you
peeled the patch -- to put it on another piece of Tekraderm, it pulls the
release liner which eliminates the unique identifier. There's a unique
identifier incorporated in every patch. If they took this, peeled off the
blotter paper and put it on, there would be no unique identifier on the patch
anymore when they presented themselves, the patch wouldn't match because that
identifier is recorded and the chain of custody is applied. We have had a
report of people trying to take the patch off, taking a razor blade, cutting
around the outside, trying to reapply it. In our experience, we've been able to
detect that because it is physically different on the individual who wears the
patch just because there are the products in sweat. There is some slight
discoloration so we have to come and present themselves and patch is bright
white as when it's initially applied. I think that is highly suspicious as
well, and those things are incorporated as part of the integrity checks to look
for potential substitution and adulteration. Also clearly because of the
properties of the Tekraderm, if they come back in and the whole thing is held
back on by band-aids, then there are some serious questions on the integrity.
Mr. Schoening: The question is, they've got a hold of some Tekraderm, could they
put it back on?
Mr. Fortner: If they pulled the patch off, it releases the integrity.
Dr. Caplan: Any other questions or comments? Any recommendation?
Dr. Sample: Move it to a blank.
Dr. Caplan: Any objections?
Dr. Bush: This is E-6?
Dr. Caplan: Correct. Now, E-7, transportation. If the patch is damaged or lost
in transit. Is there any other comment, a recommendation from P to blank? Okay,
the lab testing, G-2. Have we sufficiently agreed this should stay as a P, that
we need additional information on the stability of the dry patch for 28 days
and the stability of the eluate for a longer period of time?
Dr. Sample: I think we need to decide what constitutes a specimen first before
deciding whether or not we're talking about the patch itself or the eluate.
Once we answer that question, then we can adequately determine what needs to be
done for G-2.
Dr. Caplan: That may be a while before that occurs and if that occurs in time,
when the stability studies are another year away.
Mr. Fortner: I think it's two separate issues. We can demonstrate stability of
the drug on a drug patch with existing eluates by going back and doing a
reanalysis. I think that's one thing to address in terms of additional
information to the Board regarding those two areas of stability.
Dr. Sample: If you want to be proactive, you can go ahead and do both. One or
the other is going to be needed, or maybe both.
Mr. Fortner: I think both will be needed. I'm not sure that it would address the
ultimate question of what constitutes a specimen.
Dr. Caplan: It's only for a year of what would be previously analyzed would be
akin to, say, to the urine specimen for possible reanalysis.
Mr. Lucas: Are we going to set any parameters on what we expect for results
here? Are we going to see if the drug can be detected after a year?
Dr. Bush: Are you looking to get quantification so you can compare that sample?
I would be looking for regular retest type of scenario. Can you detect that
drug -- is that drug still present at a concentration greater than the cutoff.
COL Jacobs: So you're looking for detection?
Dr. Sample: Correct.
Dr. Caplan: So that stays a P. G-3, Page 12.
Mr. Fortner: I think we've covered this previously.
Dr. Caplan: Adulterated and substituted specimen while certainly substituted
meaning the patch coming off. You made some comments about the detection of
bleach and other things. Are there any other questions about that?
Ms. Murdoch: Is this at the laboratory? It appears that the question that refers
to what test or processes can the laboratory institute to identify adulterated
or substituted specimens like the tests that are currently being done for urine
at the collector site, identifying this sort of thing and that question is not
answered.
Mr. Fortner: Well, I believe the question is answered. Number one, the
laboratory does have analytical tests to detect for adulterants, bleaches. The
most common form that we have seen with respect to substitution, all the
programs have the ability to send the entire device, the Tekraderm, in addition
to everything through the laboratory for physical examination whether it be
microscopic or otherwise to look for punctures, substitution criteria.
Dr. Caplan: Did you have something specific about that, Julie?
Ms. Murdoch: My question is getting back to the specimen size and what's a
specimen. Are you trying now to identify common adulterants on the sweat patch?
Do you elute and then test the elution for the adulterates and are you using
part of your specimen for the adulteration testing? I was trying to compare it
to laboratory testing for urine and I wasn't getting there.
Mr. Fortner: Currently we are not aware of any products that are using the
adulteration process that are taken internally that would be subsequently
excreted by the body. Even the products that we see in urine, they're
externally deposited. If they are externally deposited on the patch, then you
have to physically remove or adulterate the patch in order to perform that
function. If bleach is added to it or some other compound, whether it be
formaldehyde or liquid form of nitrites, and in that process in doing it,
they've compromised the patch because they would have to physically expose the
patch in order to perform that or they would have to do it via a syringe.
Dr. Sample: The question is assuming they somehow devise a way to externally
adulterate the patch, if that cannot be detected with the tamper evidence that
you currently have, do you routinely perform adulteration tests on that eluate
or do you have the possibility of doing that, then I think that really would
answer that question.
Mr. Fortner: We don't routinely perform unless the physical examination of the
patch indicates it has a discolored appearance.
Dr. Sample: The question is, are there tests available to determine the presence
of adulterates?
Mr. Fortner: Yes, you could perform them on that eluate.
Dr. Sample: I think that answers the question.
Dr. Caplan: Is there anything in addition to that or do we still need
information? In other words, that's theoretically possible now? Should we go
from I to a blank or an I to a P?
Dr. Sample: An I to a blank.
Dr. Caplan: Okay, an I to a blank. Now, G-4 initial test. We talked about FDA
clearance as an initial test, that was my question from before. I'm not
confused about it, but the question is, do we want to require it or is it
desirable to have FDA clearance for the initial screening or additional testing
procedure? Any comments on that?
Mr. Crouch: Has any manufacturer obtained FDA clearance for the testing of a
sweat patch and how about any of the RIA kits.
Mr. Fortner: The only one we've ever gotten was DPC.
Mr. Crouch: Do you know if they have gotten an FDA clearance?
Mr. Fortner: We don't routinely use it.
Mr. Crouch: So there is at least one FDA cleared device to test for these five
drug classes?
Mr. Fortner: From the manufacturer agent standpoint, yes. That's probably a
compound question with respect to FDA clearance overall.
Dr. Caplan: That was the question. Is FDA clearance required for initial
testing, as it is now for urine testing? And if we go through other specimens,
is FDA clearance and initial testing going to be a requirement or not. It seems
like that is something that we need to think about some more globally and we
don't have an answer across the board.
Dr. Sample: Didn't we leave this as an "I" yesterday with respect to hair
pending the determination as to whether or not FDA clearance is required? If
so, I recommend that we leave it as an I for the time being for the same
reason.
Mr. Fortner: This has the clearance behind it. I think that is different from
whether there is a clearance.
Dr. Sample: The question is this test should be cleared.
Mr. Fortner: Yes. It says FDA cleared test. I interpret that to say, not should
it be cleared, but is it cleared.
Dr. Caplan: If we compare it to the current guideline, which is where we started
all of this, the initial test is a screening test by immunoassay for urine and
that's because there's a requirement that it be an FDA cleared test, not the
testing, not the collection.
Mr. Fortner: Agreed. And the response is that the ELISA assays as used for a
screened patch are FDA cleared.
Dr. Bush: So I'm hearing that it's a fact that certain kits have been cleared
for testing the patch. It's a fact that it is cleared?
Mr. Fortner: Yes. Why don't you ask the more global question, should they.
Dr. Bush: That's where I was going. The test kit should be cleared by the FDA as
a diagnostic medical device. We were going to leave that as an I for
everything, pending further discussion, further information, further findings
by FDA. As I understand it, we leave it as it is and turn the page.
Dr. Caplan: Page 14, the initial test detects HHS target analytes. These are the
ones you've noted were measured and found.
Mr. Fortner: I think the only clarification is, the screening test does pick up
methamphetamine and amphetamine.
Dr. Caplan: Any comments or questions on whether or not the five regulated
analyte classes can be detected by this method?
Mr. Fortner: No, I think I would also clarify, you do get cross reactivity of
carboxy-THC as well, both urine and carboxy.
Dr. Caplan: We have satisfactorily answered this question, that the target
analytes can be detected satisfactorily. So we'll move this from I to a blank.
Okay, G-4 on Page 15, the cutoff question. Do you want to comment on that? The
cutoff question is something that's going to have to be established
independently for each matrix so the question then is what evidence do you have
of these cutoffs being either appropriate and able to detect users for some
period of time.
Mr. Fortner: I think it's important that it goes to the more general question in
terms of what is the acceptable approaches for determining cutoff. I mean,
across all the alternate matrices on the cutoffs established in the sweat
testing, we went through and approached using empirical data and ROC analysis,
there would be true positive, true negative and relying on studies, clinical
and controlled-dose studies.
Dr. Caplan: When you say clinical, have you done studies where you collected
patch and/or collected urine or hair?
Mr. Fortner: Hair wasn't any part of that study but we have some very large
clinical studies, over 10,000 urines correlated with over 1,000 patches,
because of different wear periods, three urines a week per person, correlating
data that was in a controlled and locked-down prison in Michigan, as one of the
bigger studies. And then federal probation has two pilot studies that they
conducted looking at hair, urine, and patches in dosages as part of the
clinical correlation studies that were conducted.
Dr. Caplan: Can you maybe summarize that? How frequently was the urine and how
frequently was the patch.
Mr. Fortner: The typical wear period of the patch was one week. The urine was
going through it on the average two to three times a week.
Dr. Caplan: Are you saying the correlation is perfect?
Mr. Fortner: I didn't say that.
Dr. Caplan: You have to start somewhere every time you had seven days.
Mr. Fortner: What we found was the patches detected, if I recall specifically,
33 percent for frequency of drug use relative to the urines that were collected
during the same time that the patch was worn.
Dr. Caplan: Were you using multiple urines?
Mr. Fortner: Right.
Dr. Caplan: Are you saying any one of the three urines compared to the patch, or
would it be considered positive, or would it have to be all three?
Mr. Fortner: No, I didn't say that. I said the patches detected 33 percent more
positives than urine. We had instances where the urines were negative and the
patches were positive, but relative to the windows of detection. The unique
component of the patch is it retains the drug as it is excreted. You're really
looking at just different snapshots of time.
Dr. Caplan: Does the 33 percent more mean you had 33 percent more patch
positives to any one urine positive?
Mr. Fortner: Yes.
Dr. Caplan: What about the numbers?
Mr. Crouch: I just saw the word levels in here.
Dr. Caplan: They're not quite as high as concentrations. The general question of
whether or not these numbers or any numbers were adequate or whether we want to
address that now or leave that to some further across-the-board elucidation.
Dr. Vogl: Is it a concentration in the eluates? Or it should be nanograms?
Mr. Fortner: We express it as a nanograms per milliliter. It's 2.5 mL eluate.
Dr. Caplan: But the ultimate reporting should be probably per unit, per patch.
Dr. Vogl: But you're only getting 60 or 70 percent off of the patch.
Mr. Crouch: You don't correct for recovery in urine? If the recovery for
carboxy-THC in one lab is 90 percent and it's 85 in another, then you have a
slightly different answer.
Dr. Caplan: The question is whether you quantify the original material as
milligram per patch.
Dr. Sample: I think it should be per square centimeter of patch. The larger
patch you have, the more you're going to trap even if the eluate volume
changes, the concentration cutoff, perhaps, would not be appropriate in that
case. You really need to relate it to the size of the collection device.
COL Jacobs: I think we need to wait on all kinds of cutoffs for all testing
methods because we don't really know how they relate or how we want them to
relate to understand these numbers and they can get them and that is out of the
elution. You were saying that in urine -- we know we only get 60 or 80 or
whatever, that's when you add the internal standards. We're not adding the
internal standard here with the patch. I think we are waiting until we get the
fluid off. I think we have too many things to look at to make a decision on
this now.
Dr. Bush: It goes back to your original concept of what is the original
specimen, the eluate or the patch?
Dr. Caplan: There is data to show some comparison. We will need to do some
further refinement for establishing what these ultimate criteria are.
Dr. Bush: Can I clarify something here? These cutoffs, were they established and
carried through the FDA clearance process?
Mr. Fortner: Yes, they were established and reviewed by the Scientific Advisory
Board of FDA. If the Board wants the filings, that's fine. They're about 1000
pages per drug.
Dr. Baylor: This is based on wearing a patch for seven days?
Mr. Fortner: Yes.
Dr. Caplan: Anything else? We need to get more information and deal with this
comprehensively later. The FDA has a comparison performance as opposed to
absolute numbers. I don't know that that would be of great assistance at this
time anyway.
Mr. Fortner: It's available should the Board decide.
Dr. Caplan: We are on Page 16. We're beginning to talk about actual
characteristics of the laboratory testing, the initial test, and the ability to
perform around the cutoffs.
Mr. Fortner: This is additional data from our screening thresholds. These are
the CVs for that data.
Dr. Sample: 25 percent above and 25 percent below?
Mr. Fortner: Yes.
Dr. Caplan: Any other questions or comments on that? We'll move this from an I
to a blank unless anybody objects. G-4, Page 17. G-4e, the ability to repeat
the initial test.
COL Jacobs: The same question, what's the initial test? Is it the fluid or is it
the patch?
Mr. Fortner: Whether you define what is the specimen or not depends on whether
you repeat the initial test, was how I responded to that question.
Dr. Caplan: In light of what we talked about before, we probably ought to defer
this. Also it's going to depend upon how you define the specimen. Does anybody
object to deferring this?
Dr. Bush: That's consistent.
Dr. Caplan: Confirmatory testing, G-5, Page 18, use MS for identification and
quantification.
Mr. Fortner: It is not MS/MS at these levels. You don't need that. We do use
chemical ionization on the THC analysis, but it is conventional MS.
Dr. Caplan: We're talking about MS on the eluate, which would be no different.
Out of the concentration ranges, there's no sensitivity issue?
Mr. Fortner: No. There's a slight difference, concentration screening versus
confirmation for THC. The other ones are straight across because we're looking
for a different compound.
Dr. Caplan: Any other comments? We are looking at different drugs now. There are
no problems with the parent THC?
Mr. Fortner: No, that is what we confirmed. Is there a recommendation?
COL Jacobs: Move it to a blank.
Dr. Caplan: Okay. 5-B.
Dr. Sample: There's already a blank.
Dr. Vogl: They are just giving us the numbers. It's a yes, you can do it for all
of them.
Dr. Caplan: It's just a matter of ultimately defining what the number is.
Dr. Bush: And the marrying of the screen and the confirmed method for the
analyte.
Dr. Caplan: This is for information and comparison. G-5c, Page 20, acceptable
performance around the cutoff of the confirmatory test.
Mr. Fortner: The minus is a 40 percent number.
Dr. Caplan: Are there any issues or questions there? What do you want to do with
this, move it to a blank?
Dr. Bush: Excuse me for backing up a minute here, but if we go back to Page 18,
G-5a. With the notation that the GC/MS is done by CI, which is something that
we do not use currently in the existing program, do we want to have discussion
about criteria, acceptance criteria, in a way that we talked about MS/MS or
anything like that?
Mr. Crouch: Just to refresh your memory, there was a laboratory that was
certified that did CI on urine and that was fully acceptable and it was in the
program for two or three years, and they voluntarily dropped out so I don't see
it's any different here than it would have been in the urine testing that's
still allowed in urine testing.
Dr. Caplan: Page 21, do cutoffs reflect drug use. I think we've answered that
one a number of times. Does anyone have any other question about that?
COL Jacobs: I have a question about that. I understand that it does reflect drug
use, but are we redefining here -- deterrent or a detection? I don't know what
Neil's levels relate to. Are you trying to go as low as you can because of what
these tests are used for? This isn't really a deterrent patch, this is an
absolute detection program.
Mr. Fortner: I think it does have deterrent properties just from the fact that
they're wearing it. There is a significant increase in drug use. I think that
if you wanted to use a detection system, you have not gone through immunoassay,
you would go to GC/MS and you could confirm it, which is not what this program
does.
Dr. Caplan: We have to assign cutoffs.
Mr. Fortner: Detecting the same and in looking at acceptable ROC analysis for
true positives as compared to the traditional error base.
Dr. Caplan: Any others? Okay, move it from I to blank unless there's objection.
Page 22, certified lab program.
Mr. Fortner: I think it's possible to establish one, but there is not one
established at this time.
Dr. Caplan: That is again the question, does anybody have a comment on any
idiosyncracies that might exist?
Mr. Stephenson: Can we go back to Page 21, G-6. That the cutoffs haven't been
identified, whatever they would be, reflect drug use. What we're saying is --
we're not saying in this sense, illicit use versus licit use. We're not talking
about anything beyond the issue of actual consumption or use of the drug as
opposed to environmental contamination or some other external element so what
you're really saying here is that you can say, unequivocally, that when you
have a test positive that does reflect drug use by the individual period.
Mr. Fortner: Yes, at some point. In past exposure studies for all drugs, PCP,
methamphetamine, we did do eventually passive exposure of cocaine and
marijuana.
Dr. Sample: You did test for external contamination?
Mr. Fortner: Yes. I mean, applying the drugs to the outside of the patch. I
think there was some discussion on preparation on the site if there are drugs
already existing on the individual's skin, could they be absorbed in. I think
there may be some issues in there.
Dr. Caplan: Maybe Bob's question might more clearly reflect, is there a greater
sensitivity of the patch to detecting passive inhalation?
Mr. Fortner: The passive exposure studies have been done and have demonstrated
no detectable levels of drugs on the patch.
Dr. Caplan: I think you might have been asking, is it possible that one of the
other technologies other than the urine that we're familiar with might be more
sensitive to the passive exposure?
Mr. Fortner: I certainly think other technologies, whether they're more
sensitive or susceptible, depends upon the analytical procedures that are used
in those. But from what we've done, exposure, and direct application of the
drug to the outside of the patch to simulate a worst case shows that those
drugs are too large to pass through the Tekraderm properties for THC and
cocaine. We had ones in the classical exposure with vapor and no detection.
Mr. Stephenson: I think the most important aspect of all of these exercises, in
all of these areas, is answering that specific question. If you're not able to
do it with an understanding of the human study subject's involvement of the
role, then that's the problem. And so we haven't quite gotten to that level of
detail yet and I needed to have that, and I think we need to bear that in mind
for every one of our points of discussion with the other alternative
technologies.
Dr. Caplan: We didn't do each one yet. G-6, we said was a blank. Now, H-1. What
did we do with the other?
COL Jacobs: Yesterday we moved the other one to a P. We said it is possible.
Dr. Caplan: I think it is the same thing here.
COL Jacobs: I agree.
Dr. Caplan: Does anybody object to moving H-1 from I to P? All right. H-2,
external PT program. That's going to be one of the critical areas.
Mr. Fortner: Not only is it certainly possible, we actually have one program in
place right now. John Mitchell spoke yesterday about performance versus
proficiency testing. The program right now just looks at the ability that the
sample is indeed fortified to be positive, was it reported as positive by the
laboratory. And that gets to the blind proficiency programs run under the
Department of Transportation guidelines. There are both positive and negative
patches sent in blind to the testing laboratory by an outside client.
Dr. Caplan: Do we know how they're prepared?
Mr. Fortner: They are worn patches. They spike them with methanol solutions of
the drugs we're testing for and then send them in. They're not from known drug
users. They're drug-free patches that have been either fortified or sent in as
negatives.
Dr. Sample: It is not clean blotter paper?
Mr. Fortner: No, it is a worn patch, so it presents itself as a worn patch on
their chain of custody with fictitious identifiers.
Dr. Caplan: They have someone negative wearing the patch?
Mr. Fortner: Yes, multiple people wear the patches and some they will send in
without spiking them, some they will send in spiking different drugs.
Dr. Caplan: Any other PT comments? Does the client have someone else doing that?
Mr. Fortner: No, currently they don't.
Dr. Caplan: I was asking if there was any other experience in the audience.
Dr. Bush: I would like to ask a question just concerning that matrix itself.
Whenever you take a look at that PT, a spike versus a worn, I want to revisit
that. Are there concerns about that?
Mr. Fortner: I think you've eliminated the matrix issue because they are spiked,
worn patches, so all the other components you would see in sweat are going to
be on the patch since it is a worn patch.
Dr. Bush: That will take some of that matrix effect -- it is like a blank urine.
Dr. Sample: In my mind, it is like spiking a blank urine.
Dr. Bush: You have a big pool of negative blank urine and then adding the
analytes of interest, and using that, then packaging it and then sending it.
Okay, thank you.
Dr. Sample: The only difference is it is not a pool of blanks. Each blank is
going to be different.
Ms. Murdoch: How do you know that the blanks are actually negative? Do they wear
two patches and one is sent for verification to make sure in fact that it is a
negative patch?
Mr. Fortner: I don't believe they do that.
Dr. Sample: But it certainly could be done.
Mr. Stephenson: I think the issue would be similar to yesterday. We have not
moved beyond this issue even though there was a similar PT program in the hair
environment, but the issue was reference labs. How are you going to establish
this?
Dr. Sample: I think it was a different issue yesterday with respect to hair
because it's difficult to incorporate the drug in the hair in vitro, whereas,
you could easily incorporate the drug into this collection device in vitro. So
I really see a difference between yesterday's discussion and this one.
Dr. Caplan: There's still the question of whether it can be done and whether
it's been incorporated enough for a mass program.
Mr. Stephenson: It goes beyond one individual lab doing it with one client.
That's another issue.
Dr. Sample: You still can.
Dr. Mitchell: I think there's one additional similarity between hair and that's
going to be the quantitative aspect since we do not have 100 percent elution
from the patch at any one time. There are some issues that are associated
performance wise with this that aren't associated with matrices in which all of
the material can be extracted. In this case, however, we're dealing with one
laboratory and it probably would not rear its head until additional
laboratories and may have somewhat different procedures. I mean that's the
potential.
Mr. Crouch: I don't think we should get hung up on their recovery of the drug
from the patch. That's going to depend on the method. If somebody modifies the
method a little bit, it's going to increase the recovery. We did this back in
the 50s. We adjusted our concentration for recovery. I think we stopped doing
it in the 60s so I hope we don't go back to that sort of analytical approach.
Dr. Mitchell: Again, without absolute numbers in quantification, that is where
quantification could be verifiable, it is going to make some aspects of
performance testing a little more difficult.
Dr. Bush: We've had immunoassay manufacturers make our performance in the urine
testing program a little more difficult too.
Dr. Mitchell: I understand that, I'm just stating what the potential problems
are.
Dr. Caplan: It seems there's really a limited amount of information in this
stage. It's another across-the-board thing to look at. The information is very
limited. It can be done, but I don't think we know yet whether we can produce
the patches uniformly and can you make 100 of these and they're all the same. I
don't know that we know that.
Mr. Davis (RTI): It would appear to be simpler than the corresponding case in
hair.
Dr. Caplan: Unless there was something in the patch that didn't allow
distribution. Do you want to move it to a P? Certainly it's not a blank. An I
to a P. Any objections? It's not an area where we're likely to get more
information.
Mr. Stephenson: This sounds like an interesting segue, opportunity, an I to a P.
Mr. Stephenson: Because of the snow storm, we ought to be through in time to get
you guys out the door and to your airport by 4 and that means our finish time
has to stay, at a minimum, where it is to be through by 3 to 3:30. To that
degree if we can look at what we have in front of us, how much more time do you
think we're going to need with sweat and then we need to go through oral
fluids. Let me just ask those representatives from the other entities, do we
have a similar presentation to make for oral fluids?
Dr. Bush: Yes.
Mr. Stephenson: The other thing is on-site. That should pretty much cover this.
Now this does not mean that we're not going to examine laboratory-based urine
testing too, but the issue today is to try to bring back into perspective the
other alternative specimens. We've spent so much time and concentrated focus on
hair testing in the first couple of these sessions and now the rest of the
industries are looking for their opportunity to get updated. That is where
we're going right now. I'll turn it back over to you, Yale, to continue.
Dr. Caplan: The lab inspection program. The same issues as before. I guess
there's no one that's expecting sweat patches at this time.
Mr. Fortner: That's right.
Dr. Caplan: Any comments?
Mr. Crouch: How many labs might be interested in certification?
Mr. Fortner: We have five laboratories in the U.S. right now that are involved
in some form or fashion of referee testing that have approached us about doing
sweat patch testing independently. And then a fairly large organization in
western Australia that has run, for the last three and a half years, their own
program.
Dr. Sample: I guess the question is, can it be established, and I think the
answer to that would be yes. As we did similarly yesterday with the hair
testing, yes, one could establish a laboratory inspection program.
Dr. Caplan: We can move that one to a blank. Any other comments? We will move it
from an I to a blank. Is there any objection? Now, blind samples, H-4, Page 25.
We made some references briefly earlier.
Mr. Fortner: The references I made earlier were centered around an external
blind. We do have an internal blind program where we spike the patches
ourselves so you're looking at samples analogous to what you have in the urine
testing program.
Dr. Caplan: Discussion.
Dr. Sample: Would this be analogous to the external PT? We could move it to an I
to a P? I think you have the same issues whether it's internal or external.
Mr. Fortner: I thought this was the internal. It's possible to submit
negative/positives if they were donor specimens. You have to be prepared but --
like we would prepare our urine.
Dr. Caplan: You have to prepare someone by having them wear a patch?
Mr. Fortner: Yes, you see a matrix issue.
Dr. Sample: I think it would be a P. You still have to prepare them in the same
manner.
Mr. Crouch: What don't we understand about it? Why isn't it possible?
Dr. Sample: Why did we leave external PTs as being a P then?
Mr. Crouch: I think there are a lot more issues with the external PT than there
are with blind samples. They already have a blind program. Certainly it can be
done. There is no performance testing protocol set up. I think it's a different
issue.
Dr. Caplan: I think if it's a different issue. But Barry's point -- it is
possible to move it to a P, but if it hasn't been done, we don't have the
experience other than taking your word for it. The question is of the ability
to do that and the documentation. The question as to whether it's uniformly
made in those types of things, I think, is Barry's concern.
Mr. Fortner: Well, if we could specify or clarify what the issue is, that would
be fine and we could respond to it.
Dr. Caplan: How are you assured that they are uniform and what the track record
is.
Dr. Sample: Have you prepared those blind samples? How do you verify? Do you
blind PTs?
Mr. Crouch: I think that's sort of a practical issue of how a program runs and I
don't think we're asking these other people those sorts of questions. That's an
inspection issue. The question says, can it be done. It's possible, and it's
being done. So certainly it's possible.
Dr. Sample: But yesterday, didn't we also leave the same question as an I?
Mr. Crouch: I think we're talking about a different thing.
COL Jacobs: We did, but I think it's for other reasons. I think those reasons
where we couldn't decide, if you turned to Page 27 in here, there's quite a
write-up of, is it real positive hair or is it spiked hair. And there are a few
different issues we're going to work with on that which may be different here.
Dr. Sample: I guess that's my question here, is it really different or is it the
same issues?
Dr. Caplan: Any other thoughts or comments? Well, we've got two choices, three
actually. I to a P, I to a blank. How do you feel?
COL Jacobs: I propose we move it to a blank. I think they've answered it.
Dr. Caplan: Does anybody disagree? Okay, we move this from an I to a blank. Now,
certifying scientists review. I assume you're doing this?
Mr. Fortner: This is no different than our urine program with the exception
we're not releasing necessarily to the MRO at this point, but that is in
compliance with the program. There's a full review by certifying scientists,
just like you have in the urine program.
Dr. Caplan: Are there any other comments? Change it from a P to a blank? Now,
reporting, Page 27. There's a couple of places where it says, see lab report.
Mr. Fortner: In the September material, there was a copy of the laboratory
report which lists our standard report list screening, various screening
levels, confirmation levels, by drug, and then report by drug. It's fairly
standardized.
Dr. Caplan: Any issue with I-2? Move it from a P to a blank? Now I-3, the
turnaround time. To keep the confidentiality of the donor, the same thing.
Okay, the standard report form. Any objection to moving it to a blank? Okay.
Interpreting results, Page 30. Under MRO, the scientific information is
available to allow an MRO to properly interpret a positive test result. I guess
a number of these things have been presented before. We had commented and had
discussion on whether that's all sufficient. Now, scientific data from the
controlled dose studies was made reference to before in clinical trials cleared
by the FDA and publications that have been reviewed. Is there anything else?
Mr. Fortner: The only thing we have not done was to generate what would be
analogous to an MRO and we would incorporate that into part of the training.
Dr. Caplan: The question is do we have enough information for an MRO to make a
judgment, and judgments are going to be similar judgments about positive or
negative versus the passive exposure.
Ms. Murdoch: One question that occurred to me was whether or not you've done any
studies to determine whether there's variability in drug uptake or excretion.
Between classes we talked a lot about hair testing in terms of race or color or
whatever. Is there a variation across gender? That was my question. That old
expression, women perspire and men sweat. Is there any difference there in
terms of quantity of drug that's excreted into the patch or any other class
differentiation?
Mr. Fortner: A two-part response. The answer is no, we have not done
gender-specific studies. If you look at the properties of the transdermal sweat
collection device, you're looking at sensible versus insensible sweat.
Primarily, the body's insensible sweat is the mechanism of regulating
temperature control, is the primary mechanism that we see, depositing drugs
onto the patch. A person need not be an Olympic level athlete with an exercise
regime to produce sufficient signal in the patch. Most of the individuals in
these studies were in restricted activity environments. In many respects, we
certainly note that under those conditions and in the filings, that the patch
needs to be worn for a minimum of 24 hours to generate sufficient drug for
detection.
Dr. Caplan: Do we think any other studies are needed?
Dr. Bush: Were there any females included in those studies that were done?
Mr. Fortner: Yes, they were not excluded, but we didn't do an analysis breakdown
specific to the results based on gender or any other classification.
Dr. Bush: Did you capture that information, what the sweat patch result was, and
the identity of the person to that type of demographic?
Mr. Fortner: I know we captured information that was available on gender, and I
believe there was some information from some of the studies with respect to
other classifications.
Dr. Bush: I think it may be a good idea if you go back through your database and
gather that information. You can forward it to me as the Executive Secretary of
the Board, and let me see what it looks like. I can fax it to the Board
members, whatever is provided in the future. And see what kind of demographics
you can gather. This would go back to the FDA study?
Mr. Fortner: Yes, encompassing all of those studies, both controlled-dose and
clinical studies.
Dr. Bush: It would be good if you could isolate that by dose, by drug, and the
other demographics.
Mr. Fortner: I won't claim we have everything, but we do have a lot of that.
Dr. Bush: I understand.
Mr. Stephenson: One other thing here for the Administrative Office of the U.S.
Courts. In your 11,000 patch analysis, did you capture demographics on the
donors, the sweat patch donors?
Mr. Lucas: No, we did not.
COL Jacobs: Can you go back and get that? Is that still available? Could you
relate the results back and get those answers?
Mr. Lucas: Yes, we could, by following the bar code numbers of the chain of
custody forms.
COL Jacobs: It might be a lot of work though.
Mr. Lucas: It would be.
Mr. Stephenson: The issues related to this I think are important. And in
cross-cutting in each one of these issues, I think we're going to be sensitive
too. We need to look at gender bias and we need to look at other racial marker
differences, and we need to address them cleanly and openly across the board in
all of these topic areas. If you haven't done it, look at your data sets to see
whether you can, and if you have the data, but you just haven't analyzed it. If
you can do so, if it's going to take something to correct or to modify a
database prospectively, let's talk about that. If there's some way we can help
you, if there's something you need to label administrative support, let us
know. We'll do what we can.
Mr. Fortner: Aaron, we may be able to assist you on that. We don't have the
identity of the individuals tested but each carry a unique identifier. We can
capture that so we can provide a list, I believe, sorted by prisoner or
probationer ID, which would then facilitate your offices from identifying the
demographics.
Mr. Lucas: We would have to go back to the original chain of custody form that
is held in the district and they would be able to match up the demographics.
Dr. Bush: If we could supply you with some administrative support, could you do
that?
Mr. Lucas: Sure.
Mr. Crouch: If you're going to capture this, you should decide what the data is
going to tell - female certain percentage positive; males a certain percentage
positive; blacks, a certain percentage positive; whites, a certain percentage
positive. Unless you know what the dose is or have some other measure of
whether they should be positive and what the positive rate should be, it's not
going to tell you anything. It may create more questions than answers.
Dr. Bush: You're right, Denny. Say you're referring back to the information that
Neil has from the FDA submissions, they were controlled dose studies.
Mr. Crouch: I referred to the data that Mr. Lucas might have. You need to have
some measure about whether the person took the drug or other test such as
urinalysis or hair.
Dr. Bush: My point is, Neil's is much more controlled since he has the
controlled dose study, whereas this is mere observation.
Mr. Crouch: I'm trying to defend Mr. Lucas a little bit before we send him off
to do 11,000 tests. We might have information on 11,000 prisoners, but it might
not tell us anything.
Mr. Stephenson: I can tell you in a major analysis in the criminal justice
analysis, of another technology in which there is no knowledge about the dosing
levels or amounts or timing and yet it has become a definitive piece.
Mr. Crouch: The question is, what's definitive? You've got to have something to
compare it to. If you don't have anything to compare it to, I wouldn't use the
word scientifically.
Mr. Stephenson: I would use it in the sense of it's definitive in the use by the
industry in examining the role and appropriateness across racial lines.
Mr. Crouch: What industry? If we're asking for scientific information and Mr.
Lucas has something, that's great, but we should look at the database before we
send him off to do this. Because if there isn't some other kind of measure,
then it's not very usable.
Dr. Caplan: How about the environmental temperature, was that measured?
Mr. Fortner: Certainly in the more controlled studies. That information is
available, the conditions and dosing and pre-dose, ascertaining status. Do they
sweat a lot or sweat a little, that type of stuff.
Dr. Caplan: That would be a factor in setting the minimum amount of time.
Mr. Fortner: As we go back and pull that off those studies, we provide that
information as well, sort of the conditions for the study.
Dr. Caplan: So adulteration constitutes staying at 65 degrees or less?
Mr. Fortner: Actually the application issue temperature-wise presents itself
only if they come in from outside from a high temperature and the body doesn't
have a chance to cool down a bit. If they're still in an active form of
perspiration, then even the preparation of the site isn't going to adequately
dry that and that will affect adhesion, which says the patch will be likely to
fall off fairly soon. That's just a function of what the clinical trials show
from the real world.
Dr. Caplan: One question is, if someone stayed in a low temperature, will that
adversely affect the test?
Mr. Fortner: It could potentially, and if you have them living in a cooler
environment, although, we're not really looking at active forms of
perspiration.
Dr. Caplan: Could someone be negative in 24 hours because of the environment?
Mr. Fortner: Hypothetically, I think that's possible.
Dr. Caplan: Do you think that the normal body temperature regulation is
sufficient in and of itself?
Mr. Fortner: I think that's been looked at. One of the large pilot programs was
run in the middle of winter in Michigan, which is certainly on the cooler side.
Dr. Sample: I have two questions. First, is there a mechanism for determining
whether or not an adequate amount of sweat is collected on the patch?
Mr. Fortner: We have looked at other markers to determine if the patch was
actually worn and was it worn for an adequate amount of time. We've looked at
other things such as salts.
Dr. Sample: Do you recommend that?
Mr. Fortner: No, we have looked at that to determine whether the patch was
actually worn. We have not established if it has been worn for X amount of time
based upon minimal acceptable levels, such as urine, creatinine.
Dr. Sample: That's what I'm driving at. Is there a way to assess that
suitability?
Mr. Fortner: Yes, I think there is a way to assess it.
Dr. Sample: At this point, this is an open issue in terms of recommendations on
how to do that?
Mr. Fortner: Yes.
Dr. Sample: My other question is, you indicated the patch would fall off easily
under certain conditions?
Mr. Fortner: In that condition, if they come inside from a very warm environment
and not adequately cooled down, the body is still in active perspiration. Even
if you prep the area with an isopropyl alcohol patch, you may not get it
sufficiently dry.
Dr. Sample: In that case, when it falls off, does it show as being voided or
removed? Can the donor keep it off, dry themselves adequately, and put it back
on and no one's the wiser except to the fact that he hasn't worn it for the
last week or she hasn't worn it for the last week?
Mr. Fortner: Typically our experience is going to marked as a void fall-off
because it would happen typically within 24 to 48 hours, so it's something that
happens fairly soon after the patch has been applied as opposed to 7 days
later.
Dr. Sample: But can you detect that it has fallen off?
Dr. Caplan: If it doesn't apply initially because of moisture, can it be applied
later or is the glue shot?
Mr. Fortner: I don't believe we've tried to apply it later. I don't think I can
tell you that I know the answer to that question.
Dr. Caplan: This is an issue we might want some more information on.
Dr. Bush: Neil, will you take note of that please and get some information on
that?
Dr. Caplan: The scenario is you put it on, but if the person is kind of wet, he
or she could take it off and put it back on before coming back.
Mr. Meeker (PharmChem): Typically with a patch, if it falls off, it tends to
shrink up a little bit too and you're not going to get the good adhesion that
you want on the arm. It has to be a very smooth adherence. When the patch comes
off, it does start shrinking up.
Mr. Fortner: When you do apply the patch, when it is properly applied, the
Tekraderm is fairly smooth off of that. When it comes off, the Tekraderm, by
its very nature, does have a tendency to shrink and wrinkle, which is one of
the telltale signs of a reapplication because it's no longer a smooth one. They
tried to put it on. Secondly, there is a physically detectable change in the
patch from a pristine white to an off yellow just from oils and other materials
that are excreted by the body.
Dr. Sample: That could be duplicated, I would think, in an in vitro situation?
Mr. Fortner: Anything is possible.
Dr. Bush: Can we get back to the question of interpreting the results?
Dr. Caplan: Does it appear that there is sufficient information?
COL Jacobs: This also does say interpreted a positive result. I don't think the
things we're coming up with are positive results.
Dr. Bush: Neil is aware there are a couple of things you need to take a look at
with the patch - the reapplication and the fall-off scenario - because of too
much sensible sweat over hydrating that area.
Dr. Sample: I think we need to move back to E-5 on Page 8, based on the
discussion we just had and capture these questions that we have with respect to
E-5, which is the specimen integrity evaluation and perhaps then move this back
to an I or to a P until we get these questions answered.
Dr. Caplan: Let's go back to E-5 where we changed it from I to a P before, or an
I to a blank and we should put a P down.
Dr. Sample: Can we leave it at an I or a P?
Dr. Caplan: What's the recommendation?
Dr. Sample: I would say an I.
Dr. Caplan: The recommendation is we go back to E-5 and reinstate it as an I.
Mr. Jones: Would that fit better under E-6, Page 9?
Dr. Caplan: It sounds like the early days of the inspection program.
Dr. Sample: Personally, I'm not too hung up on which bucket it's put into, I
just want to be sure we capture it as still being an open issue somehow and not
leave this as a blank with questions. If we have questions of this nature, I
think we need to downgrade it from blank status.
Dr. Caplan: Do you want to call that E-6 and leave E-5 alone and change E-6 back
to an?
Dr. Sample: The questions that we have specifically then would be in the event
where it fell off on its own prematurely and then was reapplied at a later
time. Is it possible to detect that? And a corollary to that, is there a way to
assess adequately the volume of specimen, if you will, for lack of any other
way to put it, by use of some marker, and if you could provide data on that?
Mr. Stephenson: Moving right along.
Dr. Caplan: Back on J-1, is there any other issues for the MRO interpreting
results? The issue we had before, there was the variability of the drug uptake
across genders and the need for gender-specific so it appears it stays as an I
also. Does anybody disagree?
Dr. Bush: Neil, you will provide all the information you can based on the
clinical trial, the clinical trial dosing studies you used?
Mr. Fortner: Right.
Dr. Bush: Also the peer reviewed scientific articles, any peer presentations
you've made? I did not make it to the academy meeting. Did you make a
presentation there on anything relevant to this topic?
Mr. Fortner: No, we did not. There were presentations by Ed Cone and some of his
students.
Dr. Caplan: Do any of these bear specifically or did they add to what's already
been submitted?
Mr. Fortner: Actually it takes it to another level because it looks at
conditions of more rampant detection of drugs in sweat using forced
stimulation, I guess would be the closest thing, heat-activated stimulation of
the sweat glands on the palm of the hand. And that demonstrates that you need
to wear it for maybe 20 minutes and obtain five times the amount of drugs that
you would get out of the existing patch on the arm compared to five days. It
has some other application, perhaps more pursuant to the some of the workplace
testing, but when I talked to HHS, we said we need to get through the existing
stuff before we go to the next level of information.
Dr. Caplan: One of the other things, after we go through this, we are limited to
one product here and we have to probably end up looking at guidelines which
would look at other products as well. I'll point out again, as we did a couple
of times, we're going through this matrix. How ever many times you do it, it is
only bringing the information level that is going to have to be looked at as
comprehensively. Again, across the matrices -- at the same time before you
write regulations about this and that then therefore other approaches would
have to be in these guidelines.
Dr. Bush: I will need to get copies of those abstracts and then go back to the
presentations that were made at the academy meeting to see how relevant they
are. It sounds like they're relevant, and I will bring it to the Board's
attention when I get them.
Dr. Caplan: Alternative medical explanations, Page 31. I think we've discussed
all those issues. The question is, is there adequate information. Any comments?
It is an I. Do we have enough information or do we still need information?
Ms. Murdoch: Shouldn't that stay an I?
Dr. Caplan: That's the question. In the earlier discussion, Neil, it was stated
that there is no evidence of any external contamination exposure or whatever,
to the patch being worn on the individual if there is drug positive, it's from
use.
Mr. Stephenson: But the alternative medical explanation, isn't that the issue?
And wouldn't it have to be tied to J-1, if you don't have the underlying
architecture for that result, yet how can you go and look at the other side of
that same point if you're using the same identical data and looking for medical
explanations as an alternative to drug use?
COL Jacobs: On J-1, where we're looking to see a gender study?
Dr. Caplan: Yes.
COL Jacobs: Now the alternate medical explanation is from either male or female
and that's why it's positive. Did I miss something here?
Dr. Bush: No, what about Tylenol #3 ingestion?
COL Jacobs: We're relating the two here. Do we want to relate the two or
separate the two?
Mr. Stephenson: If you can honestly answer, you're neither male nor female, we
would give you a pass.
Dr. Vogl: If you have a prescription medication, that's the reason for the
positive that allows the MRO to make an interpretation. That's the alternative
medical explanation. I'm not sure what the problem is on this one.
Ms. Murdoch: Yesterday, when we were talking about hair with the very similar
elements, we decided that the two were correlated and needed to stay together
and should be addressed together and so both of those stayed aside. Seems to me
the same thing is true here.
COL Jacobs: I think yesterday the reason why we left them both as I's was that
we could not rule and had not done a study on passive inhalation and that was
interpreting the results, was it due to passive inhalation, and that was the
alternate explanation, was passive inhalation or exposure.
Dr. Sample: On that basis, have we ruled out if somebody had a fair amount of
dermal content prior to removal of the patch? Is the site preparation adequate
to remove all of that dermal contamination? If that is not answered yet, I
would say it would need to stay as an I, similarly to the issue with passive
exposure.
Dr. Niedbala: In the package insert for all the screening devices, there's a
whole series of interference that were tested, both spiked onto the patch, then
outside the patch. So as you're looking at interpretive issues, there's clear
information on the cross reactivity of the antibodies used as well as some of
-- these are in vitro studies, granted they're not in vivo studies, but at
least they're some basis to make decisions on potential interference that may
or may not be present.
Dr. Caplan: In the interest of moving along, let's keep this as an I.
Dr. Sample: My question is, do we have adequate information to address the
issue.
Dr. Caplan: I think it's borderline.
Dr. Sample: Do we need to specifically request what we want to see?
Mr. Fortner: The procedures at the area is cleaning it with isopropyl. I would
submit that we don't have all the information. Does it remove all the drug?
Dr. Sample: That is something that you can get for us.
Mr. Fortner: I'm sure there's a drug-dependent concentration depending upon how
much drug you're rolling around in. We will work on that one.
Dr. Sample: At least provide what you have this point.
Mr. Fortner: Right
Dr. Caplan: Page 32, MRO training. There is training available now. I'm sure it
is relatively easy to do.
Mr. Shults (AAMRO): I was very interested in what the Board had to say about the
MRO's role in all of this. To me it's very conceivable looking at it that it is
quite possible that we have the MRO playing a similar role here because of the
similarity of the data and ask myself what does a medical review officer do and
basically they're answering the question, is this legal or illegal use in one
degree or another that involves an understanding of the underlying signs, the
underlying collection process, the underlying analytical processes and the ways
in which these laboratory results can be interpreted. Now there is some
variables we have here today that still exist, despite the fact that it's
well-accepted, that are very similar to the issues we're talking about in
sweat. But because of the similarity in terms of the notice response and window
of detection time, I think the process here -- to me it seems like this would
warrant an evaluation as a P in terms of both the MRO's interpretive value, is
this legal or illegal usage, from a prescription or not a prescription, has the
testing been adulterated. But it would involve I think when you get into a
formalized program, training of the MRO's and the underlying mechanism because
today even though we have certified and highly competent MRO's, if you ask them
to interpret a sweat patch, they would balk at it, they would balk because they
don't understand the basic underling principals of what this data is. But
presented the way we present the urine data, I don't see any bar right now to
their being trained and doing an effective job as they do for urinalysis data,
basically on the fact that there is such a correlation between the detection
times and what we know as comparing sweat patch data to urine data. It's very
similar to what we're talking about with on-site testing as well. So again,
although it's perfectly okay to leave it as an I, I think because of what we
know, that this could also be legitimately characterized as a P in all of those
areas, both the role and the ability to train and certify the physicians.
Dr. Caplan: I guess you had no specific experience other than the training you
mentioned earlier?
Mr. Fortner: That's right.
Dr. Caplan: Shall we move it from an I to a P? Is there any objection? It says
is, so it is not available. Okay, Page 33. We had this discussion yesterday,
what we really mean by, related by dose. We don't mean pharmacokinetics, we
mean detection capability and detection window. Maybe you can comment further.
You mentioned earlier about the 33 percent, but what you didn't do is say it is
33 percent better or equivalent for all analytes or just cocaine.
Mr. Fortner: We certainly saw the highest detection level relative to urine for
cocaine. I think that that's influenced by the fact that also happens to be one
of the most prevalent drugs of choice in those particular populations. For
instance, we saw very little, if I remember, one methamphetamine. In that part
of the country, that is not unusual. If you go west, it's a completely
different scenario. I think that in the initial response, I had interpreted the
question differently. When you talk about detection, then I believe the answer
is yes. I was thinking as a classical dose response and you cannot detect
multiple doses because it retains the drug on the patch.
Dr. Caplan: Let's just clarify. We are talking not about pharmacokinetics. Does
everybody agree with that? We are talking about detection windows. So maybe the
question wasn't phrased as clearly as it should have been, but it is detection
window and you did previously say no. Are you saying that all drugs have a
similar or equal tendency on the patch compared to urine?
Mr. Fortner: Yes, particularly across the board, we see a higher incidence and
it's probably because the window, the differences in the window of detection,
patch versus urine.
Dr. Caplan: Do we know enough about how long the patch would need to be worn?
Mr. Fortner: Yes, I believe we note that off the clinical dosing studies that
show subsequent to dose with the exception of PCP when the drug first appears
when it peaks in the sweat and then its retention in the patch from there.
Dr. Bush: Neil, I'm remembering back when much of this data was presented at the
FDA clearance hearings, and I believe there were presentations concerning just
this.
Mr. Fortner: Yes, in the FDA summaries there are tables and graphs showing
detection windows, when it first appeared, how long it was there, when it no
longer peaked. So you're looking at detection relative to a window.
Dr. Bush: I think that would be a lot of very good information for the Board to
have for a variety of reasons.
Mr. Fortner: It is certainly a part of those filings. We can either send you the
entire thing or send you sections of the summaries.
Dr. Bush: Now, Neil, in front of all of these witnesses, I'm going to ask you to
send me the filing.
Mr. Fortner: We will send you one copy.
Dr. Bush: No, refresh my memory. It's going to be 1,000 pages for each drug?
Mr. Fortner: Per drug.
Dr. Bush: I'm getting voted down by my staff who knows they will have to deal
with this, but I want to be sure about the completeness of this information. I
don't want to have to go through this again.
Dr. Caplan: Is there a way to summarize this?
Mr. Fortner: Let me tell you that there are two volumes. Volume 1 is a half-inch
thick. It contains the study design and the summary. Volume 2 contains summary
tables of all the analytical data that went into the generation of the
conclusions so perhaps we could start with Volume 1, which is the smaller of
the two sets.
Dr. Caplan: I think that makes sense. We're not testing the voracity of the
number.
Mr. Fortner: There is a more condensed version that looks at study design
results, conclusions in Volume 1 and all the tables that went into that are
contained in Volume 2. We could certainly provide Volume 1 which is maybe 80
pages per drug.
Mr. Meeker: I just have a clarification.
Dr. Caplan: So many of these things do overlap.
Dr. Bush: The short version for each drug is a half-inch summary?
Mr. Fortner: I think it's 60 to 80 pages for each drug.
Dr. Bush: That would be great. I will send it out to everybody and we will see
where we need to go from there.
Dr. Caplan: It sounds like that makes this I into a P. We'll look at more stuff,
but it looks possible. Does everybody agree that we can change the I to a P?
Any objections? Okay. The last question on sweat is specimen contamination. We
talked about that in a number of things before. What do we want to do with
that?
Dr. Sample: I think this is slightly different.
Dr. Caplan: Can you elaborate on the wrinkle?
Dr. Sample: Is it possible, based on environmental factors at the time of
application, perhaps on the part of the collector, the collection site, et
cetera, or at the time of removal to contaminate the patch and the answer to
that I think I heard from the audience.
Mr. Meeker: It would be both.
Mr. Fortner: I would have said yes, provided there are drugs in the environment
because the pad is exposed once you remove the Tekraderm. Without the Tekraderm
the pad is exposed to the environment. If you have sufficient drugs in vapor or
aerosol form, that could be deposited on the patch, then you could classify
that as a potential for external contamination.
Dr. Caplan: But it would have to airborne?
Dr. Sample: Or dirty gloves.
Mr. Fortner: The standard procedures uses disposable gloves and disposable
tweezers in the published literature off of the cocaine vapor studies. There
was one incident that was attributed to contamination of the patch in the
handling process and removal.
Dr. Sample: In theory that would be true for any specimen-type including
traditional urine based. If the collection site is dirty, if the collector's
hands are dirty, if the collection container is dirty, you're going to have
contamination. In my mind, this really is not an issue specifically related to
sweat, if we're talking that type of external contamination, because if you
have a bad collection, you're going to have a bad collection regardless of the
specimen.
Mr. Stephenson: This issue also addresses what it is you're detecting and you
had also raised the issue earlier about markers, looking if a patch is applied,
is it worn for X period of time and then third, what are you looking for in
terms of a marker to make sure that you're dealing with the metabolic process
rather than just an external drug that somehow gets onto that patch. Do you
detect or do you process for any metabolic products?
Mr. Fortner: Yes, I don't remember the page that it's on, but all of the drugs
look for a parent drug and metabolite.
Mr. Stephenson: Do you do ratios?
Dr. Sample: For urine, you're looking for a parent. In the case of codeine,
you're looking for a parent in the case of amphetamine, you're not looking for
parahydroxilated amphetamine metabolites as part of that analytical procedure
so that the issues are the same for many of the drugs, for many of the specimen
types, because there are no metabolites that we are looking for as part of the
analytical process.
Mr. Stephenson: What we're doing right now is cross-cutting issues, which
warrants a generalized update to the sensitivity?
Mr. Crouch: I think we need to be more global on this and I'll try to
micro-manage each step of this. Given a reasonable environment, these specimens
can be void of external contamination. Anything is possible and anything can
occur and there may a possibility of contamination of a urine sample. I think
we need to step back and say globally, if you followed the right protocols,
what is the possibility of this happening, and it's slim. It's certainly no
worse than urine.
Dr. Sample: On that basis, I would take it to a blank.
Dr. Caplan: We have information about it which is all the question asked for is,
do we know about it. There's nothing special that makes this less susceptible
or more susceptible to contamination so we will switch this from an I to a
blank unless there's any objection. Now I've reached a blue page. Does anybody
else want to make any general comments about providing information or ask any
questions about the sweat testing?
Mr. Edgell (DOT): I have an issue on something that Neil said that we might be
missing on or miscellaneous issues. In workplace testing, the refusal to test
is always an issue. An individual comes to the test site unable to provide the
requisite amount of urine or breath, perhaps even hair or saliva, but with this
patch, you're going to attach the patch and the individual will leave the test
site and return sometime later -- and the ability to determine whether it fell
off because they perspired too much, sweated too much, or did they take it off
and then claim that it fell off. I mean refusal to test is something that
employers certainly have to deal with, medical review officers get involved
with to some extent.
Mr. Fortner: This is not a new issue under the sweat testing. Did they pull it
off in the population where the product is being used. Family courts and
probation drug rehab. It is to their best interest for the patch to fall off
because they've already figured how to beat the urine test.
Mr. Edgell: The same would apply to workplace testing.
Mr. Fortner: That could apply. We've been working -- pursuing with 3M some other
indicators that are tamper-evident, meaning if they physically peeled it off,
it has adhered and there's a physical removal. We've been looking at one
product that produced a void type of lettering across the Tekraderm. If it
doesn't adhere -- active sweating and you don't get it dry -- probably it
doesn't adhere so the adhesive haven't picked off and it falls off, the void
aspects are still intact. We don't have that yet. We're in the early stages of
working at it, but because of some issues -- but that's other information that
we will be provided as those details are worked out and we will perhaps address
some of the issues raised by the Board.
Dr. Caplan: It is kind of like a shy bladder issue. You might have to deal with
it.
Mr. Edgell: You certainly have to deal with it.
Dr. Caplan: I don't know that we can answer that.
Mr. Edgell: In the shy bladder, there's someone between the individual and the
physician looking for the physical condition or some pre-documented
psychological condition as to why the urine is not picked up.
Mr. Stephenson: In this situation, the answer is no sweat.
Mr. McClain: I work in an oil refinery and sometimes the areas I'm exposed to
are 120 degrees and I might sweat 4 or 5 pounds in a day. How is that going to
affect this patch?
Mr. Fortner: We have used the patch in conditions across the country that
approach that. In Nevada and Texas, in particular, there are some rather warm
areas in the middle of summer. We've also used it in clinical trials on people
who sweat a lot, but they sweat because they're long-distance runners -- and
what we have found is that in that production where it's not unusual for them
to lose 4 or 5 pounds, you can see some scenarios where the sweat is produced
at a rate fast enough that if it doesn't keep up with the evaporation or
vaporization and say, get a little bit of moisture onto the pad. Now as they
stop exercising, then it catches up and evaporates. We haven't seen that fill
up and swell up and explode or burst, based on excess fluid reduction.
Dr. Caplan: Does that condition increase the likelihood of detection if they
lose their fluids so fast?
Mr. Fortner: If you were to take it off while there was still a lot of fluid in
there, that could potentially dilute some of that. I think it increases the
likelihood of detection because it forces more sweat, which in turn, pulls the
drugs out.
Dr. Sample: I think part of the question is, it would increase the likelihood of
detachment.
Mr. Fortner: Our experience is no, once the patch is adhered on the skin barring
that scenario, we talked when they weren't cooled down, it is a fairly
aggressive adhesive and excess sweat production in our experience does not
cause it to fall off. As Denny pointed out, it is not a high area density of
sweat glands.
Mr. Stephenson: Not to try to stifle this very interesting exchange of
information going on here, but we do have a couple more alternative specimen
groups to go with? And we need to go ahead and move on in the interest of
fairness and completion. Could we shift gears now if there aren't any final
questions that the Board members are compelled to want to ask? If not, just
write them down. You can get them to Donna. We will write them down and make
them available to the industry groups for response.
Oral Fluids
Dr. Niedbala (STC): There are definitely places where we can clarify based on
what's now available information-wise. There was a workshop given at the SOFT
meeting in October on the subject and I know Donna and Walt were there.
Certainly there are the overheads that were used at that particular meeting
that I would offer as a follow-on.
Dr. Caplan: Why don't you just try to give an overview or summary of where you
think things are and then we'll go through the checklist line by line.
Dr. Niedbala: The other thing I would like to say --I represent one person who's
working with a particular system for collecting and then testing oral fluids. I
know those other companies that represent collection devices and potential
testing regimens. I'll try to answer from the viewpoint of experience I have,
as well as things I know from the rest of the industry. I don't know who else
is in the audience today, except for Carl Good who represents Avitar, a company
with another collection device as well. But certainly I will try and couch
everything that I say in light of a broad basis of knowledge in terms of things
I wanted to say. Everybody's been very kind to me in saying oral fluids as much
as possible, but you can also say, spit and saliva as well.
Mr. Stephenson: Just for one clarifying point. Have there been any attempts or
process for structuring a small working group that would represent -- have you
had any actual formation meetings or explored what you're going to do in that
area?
Dr. Niedbala: There are a number of people that I've already volunteered to be
on the working group and I think it is a good cross section of people who
perform testing, people who have collection and screening devices. We are
poised and waiting for direction from the Board in terms of the things we need
to address.
Dr. Caplan: I think on that point, certainly it's going to be desirable, after
we've gone through this checklist today, for each industry group that we
started out with. I mean, for those of who might not recall, in the beginning,
there was an industry chairperson that took charge of each of these areas. In
some cases that has led to working groups that have already met, like in hair,
and in other cases, groups have not formed. But certainly I think we would hope
that in the next couple of months, certainly between now and a month or so
before the next Board meeting if possible, that the group meets and refines the
data in general amongst yourselves as well as the things that are directed from
here. You said there's some other industry people with regard to oral products.
Did you want to say anything in general by background information that would be
helpful to us before we go throughout the list?
Mr. Good (Avitar): What I would like to say is our focus is primarily on rapid
testing, rather than laboratory testing for oral fluids. There are some
different concerns and certainly other areas with regards to samples and
confirmatory testing. The fluid we're talking about really goes both to
laboratory testing as well as rapid testing. And Avitar entered this through
the use of a collector that is very low on the absorption of metabolites and
we're looking at a direct sample procedure. I would like to provide comments as
appropriate.
Mr. Stephenson: For purposes of historic overview, Yale has indicated at earlier
meetings that he would be willing to be the Drug Testing Advisory Board member
to participate with the oral folks. Is that still correct, Yale?
Dr. Caplan: I'm in a default position, meaning if anybody else wants to do it,
they're more than welcome.
Mr. Stephenson: That being said -- as each of these groups has presented, we've
identified a member of the Drug Testing Board who has acted as the liaison --
and we've also indicated if there's a need for administrative or for special
assistance in convening a group or getting people together that might not have
the ability to do so otherwise. We have provided some assistance in the hair
testing group. We would make equivalent assistance available for the other
technologies too.
Dr. Caplan: I would be glad to do that, but it's your lead when you're ready to
jump in. Is there anybody else that wants to make a background comment or any
information that would be useful? We will start the checklist and I guess go to
12 o'clock and take lunch, and continue after lunch. I suppose we have - it
seems like -- that we have the least information, at least gathered on this
form, about saliva compared to the others and so therefore, we're going to need
a greater amount of input and I guess the procedure we used before was
basically to identify the question and if you want to do it, that's fine. I'm
first asking you to comment on it and if Carl, you want to immediately comment
on each question, that's fine. Then we'll open it up for the Board and go right
down the line. And it would be better if you sat at a mike if you're willing to
do that. Page 3, with regard to the collection device.
Dr. Niedbala: In terms of basic requirements, if you look at it from a general
perspective, there are several technologies used to collect saliva and each one
of those have qualified themselves in terms of the fluid that they actually
collect into the device and qualify the container as well. As Carl had pointed
out, his company has the technology that they believe enhances part of the
collection of the drug and then recovery of the device, while others use
something as simple as cellulose to collect the material and then send it back
to the lab. Would it be useful to write this then from the perspective of a
broad requirement or a broad statement about the collection containers?
Dr. Caplan: Again to reiterate, everything has to be applicable to devising the
guideline that would deal with multiple products that which we know exist
today. And things that make up - obviously we didn't do that in urine, there
are things we missed and issues that weren't in the guidelines that have come
up, like adulteration later on, but to that degree we can have a global policy
that encompasses or allows you an evaluation of a variety of devices.
Mr. Good: Our device, as appropriately stated here, has been through FDA review
for HIV testing. Ours is different, where the epitope device is a sampler that
goes into a tube for transport. Our focus is entirely, at least for the rapid
testing, on immediate use of the device that doesn't dilute the sample. You use
the oral fluid itself to actually run the test and there are some tricks in
doing that. I think the epitope device, as far as official review, is certainly
further along than we are and we expect to do the same procedures.
Dr. Caplan: Don't you define the term rapid testing as opposed to the
alternative? I'm not sure I totally understand the difference.
Mr. Good: The focus is to use a rapid test device in which you place the sample.
Most of them are chromatographic, based upon clinical or other materials within
a 5 to 10-minute period to give you a screening answer.
Dr. Caplan: There is no different specimen structure?
Mr. Good: Other than the epitope device -- puts the collected saliva into an
extraction transport buffer, because you have to transport it back to the
laboratory for the initial screening test, as I understand it. Ours is a focus
on obtaining the sample and testing them rapidly and then you still have the
issues of the sample.
Dr. Sample: Do we need to add another column on this matrix for on-site oral
fluid?
Dr. Bush: That was not my impression.
Dr. Niedbala: The conversations and all presentations up until now have involved
around collecting the specimen just like doing it remotely and sending it back
to the laboratory.
Dr. Sample: That is not what I am hearing here. That's why I asked that question
- are we now talking about a sixth modality, on-site oral fluid?
Dr. Niedbala: Shouldn't that be in the on-site sample? Or maybe we add this into
the on-site urine.
Dr. Bush: This was not our initial impression that was given us by the industry
when we formed these groups in early 1997. We had no group come to us -- or no
companies come to us that were essentially an on-site saliva testing device.
And so we have proceeded in this manner, taking a look at what industries did
come forward and it was the traditional specimen collection outside of the
laboratory setting and then forwarding that specimen to a laboratory. I think
for the purposes of this discussion here, and to at least bring this up to this
industry who has participated since the April 1997 meeting, to bring them up to
current discussion ability with the Board. I think we ought to focus back on
that. Unfortunately, to the exclusion of a newly presented device, essentially
an on-site saliva test, we have not entertained that. I don't know that we're
in a position at this moment to entertain new devices.
Mr. Good: I would be willing to be on both working groups.
Dr. Sample: I think there's certainly some things that cross over into both the
collection device, the collection protocols. Some of the issues related to
specimen collection, specimen integrity, would be the same for oral fluid
regardless of where the test occurs. When you move to the on-site testing
component, the rapid testing component that really perhaps more appropriately
belongs in the on-site arena, and so maybe Carl needs to work with both groups,
as he offered.
Dr. Niedbala: In the original presentation, Carl's company had a second device,
which I guess you're not focusing on now, which was for remote collection. You
also had an on-site rapid test and so the context which was originally
presented is all the devices were for remote collection that should come back
to the lab. That's the original context. It's up to the Board to decide those
that need to be expanded or changed.
Dr. Caplan: At this time, I think we should go through the checklist and the
grid with regard to external collection and then when we get back to on-site,
if it's appropriate. Because there are going to be many things that are common
and a few that are not, and the same relationship that on-site has to urine.
Other specimens may be natural corollaries but it would be difficult to get
through this appropriately if we don't limit it this way. Having said all that,
we still do not have complete information about the collection container and
more needs to be provided. Any other suggestions? We're on Page 3. Sections 1
and 2, as in the other sections, did not appear.
Dr. Bush: I have a Page 1 and 2.
Dr. Caplan: Why don't we go back and do 1 and 2. Well, let's finish number 3
from whence we started. Is there any other information needed on Page 3 on C-1?
We're going to provide additional information about the types of devices and
what other information did we want? Was there something else? We need to know
about the specimen, security integrity, transportation, labels.
Dr. Isenschmid: For these types of devices, we're also concerned about their
equivalency once they get into the laboratory. It may be information we need to
know about those devices.
Mr. Stephenson: If I can just interrupt briefly. It is snowing rather hard. My
sense is we're going to be very challenged to go through the rest of the
afternoon and have people willing to stay here in the presence of the kind of
snow and so on that might be still forthcoming. If that's the case, if we could
look at an expediting method that will help the Board provide the feedback to
the industry and in turn, use it interactively with the folks from the industry
to prompt questions that you would really like to have the Board focus on that
you already know are vexing or that you want to look at. Maybe this would be a
better way for us to try to look at this. That doesn't mean to short-change
your time in the batter's box, but you may lose folks who just walk out and
leave.
Dr. Niedbala: I'm fine with that because actually when you compare to the
information you have available from the other fluids, there's laboratories that
are up and running and have experiences and that's a lot of what's been honed
in on or focused in. This is the one alternative where there really isn't a
good commercial model already in progress except for a few analytes. If I can
answer what I can answer, but by all means, I agree with Yale's comment
originally -- this is going to have a lot of those incompletes, get us more
information and frame it appropriately.
Dr. Caplan: I think my anticipation at this point would be to '- that we're
probably not going to get to on-site, which we dealt with the last time. I
mean, maybe there are some issues. I don't think we'll get through the whole
thing, but I would like to get through the entire grid on saliva, which we have
never done. I guess it will take another hour or so and then if there's a
little bit of time to get some updates on the outside stuff without going
through the whole grid, we would probably accomplish a pretty good amount.
Mr. Stephenson: Who is here representing the on-site industry working group?
Dr. Vogl: David Evans, but he's not here.
Mr. Stephenson: So we're not compelled to address that issue at this time.
Dr. Sample: But if there were people here interested in on-site, this would be a
good opportunity for those people to get together and perhaps start moving
towards forming a working group or figuring out a mechanism for getting the
interested parties together.
Dr. Bush: David Evans had formed a group and they had met several times and
submitted written information to us as well as other technical information.
Mr. Stephenson: I guess the on-site is not an issue for today, so we can take
whatever meeting time we choose to have together as a focal point for the oral
fluids. And I'm not trying to short-change you, but I'm really concerned that
this is going to be a problem for us.
Dr. Caplan: Hearing no objections, let's go back to Page 1, the training issue.
Dr. Niedbala: It's anticipated the training model for oral fluids would be
similar to that used for DOT right now, whether it's a video program or
individual training sessions that oral fluid can be done that way.
Dr. Caplan: At this point in time, as far as you know, no one in your industry
has already done a program?
Dr. Niedbala: Not for drug testing. There is a certain amount for insurance
testing, but as a program -- and there is for HIV. And the HIV consists of a
video and an exam which the collectors take.
Dr. Caplan: That one I guess stays as a P.
Dr. Sample: T he question is, can you document appropriate training has been
given to the collector? I think the answer to that is yes, one could do that.
It's possible.
Dr. Caplan: What's the recommendation?
Dr. Vogl: You can do it.
Dr. Caplan: Okay. Do you want to change that to a blank? Okay. Page 2, the
certification program -- can be established.
Dr. Niedbala: Yes, the modeling is either insurance or DOT testing. There is
saliva alcohol that is done now and there's a certification of collectors that
is done.
Dr. Caplan: So that's a P-2 blank. Any objections? Okay, we did 3 already.
Dr. Niedbala: That's an I.
Dr. Caplan: Now, Page 4, FDA clearance issue.
Dr. Niedbala: We're a big proponent that FDA needs to clear these devices. We
have already done them for sweat that was the model which FDA suffered through
with us. And so four out of the five HHS drugs are now cleared for the one
system that I can talk a lot about. PCP has actually been -- we have a letter
which is an investigational device exemption which allows us to do PCP field
studies because there will never be an IRB that will allow us to do doing
studies. All of those things are in motion and I think FDA helped us in a sense
to be disciplined about the type of information that's been presented and to
keep potential users very aware of both the benefits and potential limitations.
Dr. Caplan: Other comments? So which kits have been cleared?
Dr. Niedbala: Amphetamine, opiates, cocaine, THC have been cleared as 510K
clearances, as in vitro diagnostic test products, the same as urine. The only
thing is, and this is the difference, is that device, screening device, is
always linked to the collecting device so that the qualifications for the
screening kit are controlled and that is not just any saliva or oral fluid. It
is only one specific device that is used with these specific kits. It's the
same as the sweat patch, in our particular case.
Dr. Sample: The sweat patch I thought was a little different. The sweat patch
wasn't strictly tied to the assay, but in this case, it is specifically tied to
the assay.
Dr. Niedbala: It is the case though with the sweat patch as well. In other
words, those initial 510Ks were also tied to a screening kit.
Dr. Bush: I think what Barry's point is, is that the kit was cleared for
something else on its own and then when looked at as the device for drugs of
abuse testing that it was linked.
Dr. Niedbala: I'm sorry, I didn't understand. And it's the same exact thing.
There was a clearance for saliva or oral fluid collecting device that had no
diagnostic claims and then when the claims where drug testing occurred, it had
to be linked to a screening kit.
Mr. Crouch: Sam, you can collect saliva and it looks like urine and all you need
is a tube. So if you have an inert polypropylene tube, does that need to be FDA
cleared?
Dr. Niedbala: The screening kits. Because as you know, there are matrix
differences and different collection devices will collect and then deliver the
specimen to the laboratory in different formats. I would argue that the
laboratory, or in this case, the device manufacturer, has to control that or
the whole system will go out of whack. This is the danger in some of this. I
think that all of these systems for saliva testing has to be qualified in and
of themselves.
Dr. Caplan: Any other comments?
Dr. Sample: I think we should move it to P.
Dr. Caplan: How about the other devices?
Dr. Niedbala: Laboratory based - there is no other collection device right now
that has been FDA cleared. There are a number of devices out there, but there
is no other device right now that has an FDA clearance for drug testing.
Mr. Good: You can get the Class I medical device clearance -- and a sister
company of ours has done that using our collection materials which is also used
in wound dressings and other medical devices. I think as we talked about
earlier in the sweat patch area, there's sort of a Class I collection device
outlinked to a test that this sort of seems like would apply to - and then you
have the system, which is a collection device and a test which, as Sam said,
are linked.
Dr. Caplan: It's really two questions. One, is are the devices FDA approved, and
they are mostly.
Dr. Niedbala: There are some that are cleared as collection devices in and of
themselves, but there's only one right now that is approved for use with drug
testing kits, drug screening kits.
Dr. Sample: The FDA approval is of the collection device for this question.
Dr. Caplan: Do you want to change that to a P with the understanding that
there's an another underlying thing here that in the ultimate regulation, it
needs to be required and that's different from whether it is approved today or
not?
Dr. Sample: Maybe it's blank if you're talking about collection device. There
are a number of FDA approved collection devices.
Dr. Niedbala: And this is where it will get tricky because the FDA's policy to
date has been that if you're going to use it for a particular purpose, it has
to be both a collection device and a test kit linked together.
Dr. Caplan: I think in the interest of time, let's make it a P. We don't have to
clarify this today. Okay, the impact of the device on the specimen, next page.
If the device alters or affects the specimen or drug or metabolite '
Dr. Niedbala: The only point here was each device should have to qualify itself
and its individual characteristics and in the context of the system itself will
have to present sufficient scientific data to say that it works and the user is
completely aware of its benefits and potential limitations.
Dr. Caplan: Any other comments? Okay, let's move to Page 6, multiple testing. Is
the volume sufficient to conduct several tests and screening confirmation, if
necessary?
Dr. Niedbala: If you use the epitope device, it collects between 1 and 1.3 mL,
the volume needed for screening. And a secondary test for at least four of the
drugs leaves about a half a mL for confirmation. After re-test there's about a
half mL left over for GC/MS, so there's a screening that if you wanted to
repeat the screening there is some extra, and then there's about a half mL left
over.
Dr. Sample: The typical volume for a GS/MS confirmations of oral fluid, what
volume is required?
Dr. Niedbala: Somewhere between 100 and 500 micro liters.
Dr. Sample: One drug could wipe out all of your specimen?
Dr. Niedbala: Yes, and it would need to be set up in some sort of hierarchy as
to how you would address it.
Dr. Caplan: Is there adequate specimen?
Dr. Sample: I'm not convinced there's an adequate specimen for multiple testing.
Mr. Crouch: The difficulty is you don't necessarily get 2 or 3 milliliters by
having someone spit into a tube. I don't want to get too myopic about what
they're doing here.
Dr. Caplan: That's an I now. Do we leave it as an I?
Dr. Sample: Did we address minimum volume in the hair group when they came up
with the 75 milligrams? Should there be a similar type discussion by the oral
fluid working group to determine what minimum volume should be?
Dr. Caplan: We can move it from an I to a P? We need the information about how
the volumes are utilized. Page 7, D-3, the potential to split specimens.
Dr. Niedbala: One of the questions when this was originally written is, if I
collected a specimen from the right side and left side of the mouth as an
example of one that's a lollipop, what happens? And there's been clinical
studies that have been now where we've collected both sides as one example and
have shown that their equivalent for both sides of the mouth so you take that
to the potential of splitting the specimens. It says there's now data to
support that two specimens would be OK to collect where one could be used for
screening and initial confirmation.
Dr. Caplan: We have to collect two specimens separately?
Dr. Niedbala: That's one solution, simultaneously, and that's one solution to
it, but we'll have to examine it for each of the devices that may be used. For
just saliva itself, there is the possibility that we could meet the criteria
and perform this.
Dr. Sample: So it's a blank?
Dr. Caplan: We don't have all the information.
Dr. Sample: We moved sweat to a blank and we have more information here.
Mr. Crouch: I don't think what we did with hair has anything to do with this.
Dr. Caplan: Everything is theoretically possible.
Mr. Crouch: I can tell you on saliva, it's very easy to do it. You can collect
the liquid or collect two devices at the same time, then you have essentially,
a split specimen.
Dr. Caplan: Is everybody satisfied to make this a blank? Again, we'll need more
input on the ways that that might be achieved. Page 8, stability and storage.
Dr. Niedbala: I think this is another one of those where there's information
that says that there's knowledge about the storage conditions and stability of
drugs in saliva, but it would also be caveated that each collection device must
also generate its own data.
Mr. Good: I would like to add for rapid test, it's less of an issue than it
would be for a sampling and shipping test except for a confirmatory sample.
Dr. Caplan: We still need information. Should we leave this as an I? Collection
procedures, Page 9.
Dr. Niedbala: This is basically a rip-off of the urine procedure with the oral
fluids inserted, at least in my mind's flow. It needs to have more people on
the Board look at it and really evaluate it.
Dr. Vogl: You can do it? You should be able to develop an appropriate collection
procedure criteria for each device that you might use.
Dr. Caplan: Any other comments or discussion on this? Are you suggesting you
want to change this category or not?
Dr. Niedbala: It is not incomplete.
Dr. Vogl: I think you can do it.
Mr. Crouch: Are there differences in the type of saliva based upon the different
devices? And you would know this much better than I, depending upon whether
it's cellulose or a pad or just spitting, the composition that is collected by
the device.
Dr. Niedbala: From the patent literature and from some empirical data, I would
absolutely say yes. And that's part of the reason why each device has a
protocol or criteria that are established as a part of evaluating any of these
products in the future where the scientifically and clinically show their own
performance characteristics.
Mr. Crouch: And those are related to the saliva they collect or to the device?
Dr. Niedbala: I think it's related to the type of material the pad is made out
of. That is one of the subjects of Avitar's patents. It's also subject to the
fluid that it's stored in or transported back to the lab in this case, and then
the third one which is more theoretical. But actually, different companies with
different devices claim absorption of saliva and others claim absorption of
components that actually are through osmotic pressure absorbed into the device
so basically taking things out of the bloodstream almost and into the device
itself in the mouth. Those are three extremes you get.
Dr. Caplan: What about contamination?
Dr. Niedbala: In other words, you drink a soda, as an example, and then you
collect the device.
Dr. Caplan: Or smoke marijuana.
Dr. Niedbala: Let me break it down. Adulteration, at least for the studies I've
done, with one of the devices we have looked at things like if I drank a Coke,
if I had orange juice, if I had cranberry juice, if I used mouthwash, if I'd
have used any of those things, how long must I wait before I collect a
specimen? And that's how it's addressed. So in the protocols, and I think it is
in this as well, there is I think a 10 or 15 minute waiting period before you
would collect the test. That's also consistent with what we found in alcohol in
the DOT testing which has an on-site alcohol test in the market right now. So
those things are being addressed, at least with one of the device, but I think
the burden will be on each device to prove out those aspects. The second part
is, if I took an abused substance and it was in the mouth -- I would simply
answer, is that a bad thing? Because if you would detect marijuana right after
you smoke it, it's still marijuana. And it's definitely going to be above the
cutoff.
Dr. Caplan: But you wouldn't be able to differentiate marijuana that might be
residual?
Dr. Niedbala: We have done some studies, and I have talked about this earlier
where we have had subjects who - we've actually done this in Europe where it's
legal to smoke marijuana where people have been in rooms where there's been
those who have actively smoked and those who are passively exposed and
collected both urine and oral fluid specimens, screen tested by the screening
assays and also tested by GC/MS to look at things like that. Also, hemp oil, as
an example, with marijuana is one we have recently done where people have
ingested it as a substance and then looked at urine and looked at saliva to see
its effects. A number of those things were also being addressed, but the bottom
line is they do have to be addressed for all the devices, I think, in the
future to answer the question for potential users.
Dr. Caplan: It sounds like we need to have some more information on these lines.
I haven't seen those studies. That's not something we got before, right?
Dr. Bush: No.
Dr. Caplan: This needs to stay an I then, I think. I mean, passive inhalation is
one thing. External contamination still needs to be addressed before we can
decide. This again goes back to the definition that any of these programs --
that if we ever came in contact in any way with the drug, then you could do a
lot of things. But if that question gets refined as it seems to, in most of
these instances, that we need to try to best answer those questions. Okay, this
one stays an I and we need updated information from you unless you have any on
current devices. And whatever studies were done to support the 10 minute, or
whatever period of time, for normal use as well as the potential for
contamination of the drug itself from external contamination.
Mr. Good: I agree with Sam. The studies have to be done. We were focusing on a
wash-up procedure. So one would use water, let's say, that would clear them out
before testing as well as waiting. In addition, one of the advantages of a
rapid test is if there is any issue with the subject, that you then could
default to a urine test or some other acceptable method if they would challenge
it and say, well, I was in a room where I got passive marijuana. One might have
an algorithm like is used in HIV testing which could have defaults if there is
an issue to another type of test.
Dr. Caplan: To the degree that that's possible, some of the things you mentioned
may not be possible by the collector. Okay, E-5 is sort of the same thing,
along the same lines. Specimen integrity evaluation.
Dr. Niedbala: In the literature are several articles that would refer to the
amount of IgG present in a competent specimen and so we've used that as a way
that when it arrives at the lab, we can use one, it's human, and two, that a
sufficient amount of specimen was collected so that's been the approach. I
think in any case the device has to establish its own method of proving that
the specimen has been competently collected and delivered to the lab.
Dr. Sample: The question you're trying to answer is, is it oral fluid?
Mr. Good: Again, one of the advantages of this type of testing is you can
observe the sample acquisition without embarrassment. So it would be more
difficult, I think, to adulterate the sample.
Dr. Sample: It is possible to test for adulterants. Has that been done at all?
Dr. Niedbala: Such as?
Dr. Sample: I don't know. They might have a lozenge or something containing --
something that's in their mouth that would be unobserved by the collector.
Dr. Caplan: Is this nitrite lozenge?
Dr. Niedbala: There's information on the screening kits as to what could
interfere. In other words, limitations on both ends of the extreme and then the
laboratories that are performing oral fluid testing now do an IgG test at least
with the one device that's doing drug testing, and that has tended to work well
because usually if somebody is adulterating or - in the studies we've done if
somebody adulterates - then it knocks the screening test out of whack, it
usually produces a positive because in this particular technology, a low amount
of signal, generated signal to positive to almost everything that you can think
of to adulterate, causes a positive and so the person in essence sets
themselves for failure if they try to do that. But the burden will be on the
committee then to kind of frame that up for the Board.
Dr. Caplan: So IgG is a possibility, but not a requirement? Is it a requirement
that some people test? Is that what're saying?
Dr. Niedbala: There are some labs setting it up as a requirement but not all. It
is one possibility. I think it is one of these that for good laboratory
practices, I don't know if it can be suggested, but I'm not sure it needs to be
mandated.
Dr. Caplan: Where do we stand then? Move the I to P? Is there any objection from
moving from I to P? Okay. Again, if you provide a little more information about
what the markers are. We may want to reconsider it. Okay, Page 13, collection
procedures deter tampering/adulteration.
Dr. Niedbala: At this point in time, what's being considered for some of the
devices are the same as the urine cups with evident tape being applied. You
could do that since it is being shipped back to the laboratory. There are some
things that need to be considered in terms of tamper evidence. It's been asked,
as an example, for one of the devices that comes with the fluid in it, already
in the device, it's a preservative shipping fluid. How can you ensure that that
fluid has never been tampered or touched and so I feel those kinds of questions
will have to be answered and I think it will be device-specific.
Dr. Caplan: Any other questions or comments? Again, we don't have the whole
story here. Should we leave it as an I? Okay, transportation of specimen. We
need to protect the specimen from damage or loss.
Dr. Niedbala: It's really analogous to urine.
Dr. Caplan: Is there a current experience with a packaging device that can do
this?
Dr. Niedbala: Yes. I mean the database, there's over 10,000 specimens a day now
that are tested for one or more drugs of abuse, a limited number. Specific
markets, but a lot of the paperwork chain of custody and shipping. There are
examples right now.
Dr. Sample: To me it's fairly straightforward. There should be a means to
package it and seal it and transport it in a manner that meets current
guidelines so I would recommend changing it to a blank and moving on.
Dr. Caplan: Any other comments? Okay. We'll change that to blank and move on.
The next are is G-2, lab testing, short and long-term storage.
Dr. Niedbala: Within the 510K cleared devices that already exist, there is a
body of data that exists. It was not put in here, since originally some of
those applications were still pending, but that could be supplied back to the
Board now.
Mr. Crouch: Again, isn't it sort of device-dependent whether these criteria have
been met or some validation has been performed?
Dr. Niedbala: I agree, there are examples. My point was to show equivalency to
the urine testing that occurs now.
Dr. Caplan: Anything further? You have more information. We'll leave that at P.
Dr. Niedbala: The next one was answered in light of some of the IgG comments
that were made a few pages back in terms of adulterated or substituted
specimens. Now substituted is not going to be answered by an IgG. Certainly
adulterated may be done.
Dr. Caplan: If it were substituted for another saliva.
Dr. Niedbala: It would still be a valid specimen. In that case, it doesn't
answer the question.
Dr. Sample: Do you do an oral cavity examination prior to doing the collection
to make sure that they don't have a small balloon of somebody else's spit?
Dr. Niedbala: I suppose we could be creating a new industry. We have not seen
that as of yet, so I think there has to be some thought put into that.
Dr. Bush: Have you ever heard of anything, any adulterant device or go back to
insurance testing or roadside saliva type testing that is done for other
purposes? On the Internet and in high times, have you ever heard or seen
anything?
Dr. Niedbala: If a person is properly taken through the procedure where they
wait a certain period of time, then there's nothing that is shown up to
interfere where someone has stolen away a sack of something and been able to
hang and wait that long and then deliver the specimen. There have been
occasions -- any insurance salesman in the room? There have been a couple of
occasions where an insurance salesman tried to use somebody else's saliva so
that they could get a valid specimen accepted. And that has occurred, but that
is part of the training that would have to come along with this.
Dr. Caplan: Are the collection devices as you see them generally administered by
the collecting party or are some of them much like providing a urine specimen
today? They just go do it themselves?
Dr. Niedbala: Within the workplace, no, it would require some other technologies
to assure that that is the right person. As you know, house arrest is an
example where some of those things are used and the right technology is
available. That is not something that is appropriate for here or available
right now.
Mr. Good: Our collectors use for some DNA testing -- so a lot of these samples
you end up with a sample that is adequate for PCR analysis. If you save the
sample, you could actually do a PCR analysis.
Dr. Caplan: In all cases, all saliva is sufficient for a PCR analysis?
Mr. Good: I can't say that at this time.
Dr. Niedbala: I know for several of the devices that there is that application
being used, but I haven't seen a large body of data to say that's absolutely a
good way to go about it. It will probably come up as one of the suggestions,
but we need to have the same scientific regimen as other markers would get so
that where the burden comes back onto the device manufactured to do it.
Dr. Bush: Also for PCR analysis right away, always evaluating the cost to the
employers who implement these programs, that would be a very steep cost.
Mr. Good: I think it would only be used in an exceptional situation but I
believe it would be a possibility. I agree with Sam, you have to back it up
with good data on a large study.
Dr. Caplan: Do we have enough information here?
Dr. Sample: Let's make it a P.
Dr. Caplan: Okay.
Dr. Niedbala: You're just going to see a bunch of yeses here, in the sense that
yes, it's possible.
Dr. Caplan: Did you mention that it was FDA cleared?
Dr. Niedbala: Four out of five -- the screening tests, with a collection device
as the system cleared.
Mr. Crouch: But there's only one manufacturer of the new assay products that do
saliva, right?
Dr. Niedbala: At this time, yes.
Dr. Caplan: Do we need anything else here?
Dr. Sample: Isn't this consistent with what we did earlier today?
Dr. Niedbala: Are they I's because whether or not the FDA approval '
Dr. Caplan: Right. Are we going to put that in the guidelines as a requirement?
Dr. Sample: Then we don't have all the kits being cleared at this point or all
the analytes being cleared.
Dr. Caplan: The next is the target analytes.
Dr. Niedbala: It's the same compounds in all cases except for THC, there is a
certain amount of carboxylic acid. And the testing levels on Page 19.
Dr. Caplan: You're saying the drugs you actually have experience in detecting
are what?
Dr. Niedbala: Amphetamine, methamphetamine, opiates, meaning heroin and
morphine, a few data points on PCP now, cocaine, THC.
Dr. Caplan: THC, but not carboxy-THC?
Dr. Niedbala: No, we've looked for both. That's why I need to bring back the
data. But we can show that the parent is there in a concentration between three
and four times the amount of carboxylic acid and the cutoffs being as low as
they are, you really need to look to the parent to be efficient.
Dr. Caplan: That's data we need to get? That's still an I. The next question is
still going to be an I also until we know whether the initial test levels are
good.
Dr. Niedbala: There's a pretty respectable body of data wherefore many of the
analytes, now controlled dose studies, controlled population studies, meaning
known abusers were pooled into a study -- and then also some fairly large
prevalence type studies where we've tested say, 10,000 oil fluid specimens in a
random population look for hit rate, to look for false positive, false negative
rates and then confirm those. I owe that back to the Board as a part of this.
Dr. Caplan: For G-4c, we need more information, so we'll leave that as an I.
Now, G-4d.
Dr. Niedbala: This is going to be a subject of some discussion among the Board
and toxicologists in general, because to go plus or minus 25 percent at some of
the cutoffs that are being discussed, is going to be a pretty hefty
requirement. It's one of those that we were certainly do sensitivity studies
based on the analytical information available. I just wanted to bring that up
that we will have to look at this.
Dr. Sample: So it's detection not deterrence really is the way these assays are
structured currently? It's a detection-based program rather than a
deterrent-based program is where the cutoffs are currently set, to borrow
Mike's terminology?
Dr. Niedbala: I'm not sure what the difference is between the two. I may have
missed that earlier. We talk about it later I guess. The cutoffs suggested are
based on clinical data, clinical sensitivity and specificity, not simply
analytical sensitivity. There is -- because in some cases, the kits can go much
lower in the limit of detection and the limit of quantitation but the clinical
data that has been generated doesn't support that. It doesn't support the need
to go lower and also comparison to data against urine because these are
matching specimens in most cases. We look at the current cutoffs for urine and
then we do ROC analysis, the same as the sweat patch has been done to
determination what is the right cutoff.
Dr. Caplan: These aren't clinical studies that are dosed?
Dr. Niedbala: Some are dosed, some are looser in the sense that we have history
of demographics and drug use habits. But we don't have them in a clinic where
they have been given a dose for the FDA's purposes. There have been two
questions they've asked of us for kits for both the sweat the saliva. What's
the minimum dose you can tell you can detect if a person takes the drug? And
the second is, in street usage, what do you see? Those are really two separate
things that generally come out in the package insert information assuming you
can do a controlled-dose study. That doesn't mean you will be able to tie your
people down, but you'll at least be able to make the statement that at a
certain drug given, were you able to see it.
Dr. Sample: I guess going back to 4-C -- the cutoffs were based on ROC
comparisons to urine screen?
Dr. Niedbala: Right, and always using the GC/MS.
Dr. Caplan: The other issue, or corollary to that, is I think whether or not,
while you might correlate the urine on a political study whether or not the
detection window is broad enough for the same application as urine and in that
case, the initial test level or how low you can go, may be a factor in the
detection window. Do you have any data? We certainly need to see that data.
Dr. Niedbala: That's been done a couple of different ways.
Dr. Caplan: That may come up again. I think, therefore, we said 4-C, 4-D are
still I's.
Dr. Sample: The cutoffs you're suggesting are based per milliliter of slide? Is
that true with all devices?
Dr. Niedbala: It should be per milliliter near as I can tell right now. In other
words, it is a liquid that is delivered to the laboratory bench for testing so
we can put it on a per mL basis. There has been some discussion of per device,
nanograms per device. I think that comes a little squirrel-er. So per mL within
that particular device, that is part of the justification.
Dr. Sample: But it's not per mL of saliva?
Dr. Niedbala: We may have some pretty long debates about this one. If you say
nanograms per device, you would probably now have some basis to work off of
across all devices.
Dr. Caplan: I think ultimately you have to add per mL of saliva in the device.
You will have to dilute it however it is and that's factored in, but the
sensitivity has to go back to saliva or wherever the original specimen is.
Mr. Crouch: On an absorptive collection device, how do you determine what the
volume of collection is?
Dr. Niedbala: Do you mean the amount collected?
Mr. Crouch: Right.
Dr. Niedbala: There are several ways to do it. There's one company that doesn't
have a clearance for drugs of abuse test that does have a collection device
that has a sample adequacy. In other words, when enough has gone into the
specimen, a little window, you see a line in that window to say you've
collected enough. Another device uses IgGs to say, I've collected enough,
because the IgG is above a certain cutoff in other devices and we'll use,
Avitar as an example. They simply are giving you back just fluid and so it is
just straight saliva and then to use just a cup that you collect saliva in is
just a straight mixture of all the components of saliva.
Mr. Crouch: If you use an absorbent -- and you collect 1 milliliter or collect
1.2, that's 20 percent difference, and how it would affect the cutoff or
screening or any contribution then quantification, it seems there needs to be
some way of quantifying how much saliva the device is collecting.
Mr. Good: I think that is technically possible. If you have a situation where
you can collect without a human, the device itself can give you that
calibration and in some of the rapid tests, when the material moves through the
test device itself, it is self-stopping so when it gets enough sample, it is
just saturated and no more will go into the device. There are ways to address
that issue with the saliva sample.
Dr. Sample: I think a related issue, is if you have this absorbent material, how
are you assured that you are then returning all of the drugs out of that device
at the same concentration that they went into the device?
Dr. Niedbala: Right. Recovery is a separate issue. I got a moment to think about
this and I can envision a couple of scenarios here where you can normalize
based on the average amount you collect and then you could always have all the
devices reported out in a similar fashion.
Dr. Caplan: You will have to give us more information on that. Move to G-4E, the
ability to repeat the initial test. There's nothing written there. Is that the
volume of collection question as to whether the volume is sufficient for your
procedures?
Mr. Good: This may have a different effect as far as rapid testing as well
because you could do an immediate repeat or you could collect a sample for
transport back for GC/MS and so there is a difference here between the sampling
systems and to the laboratory and the rapid test.
Dr. Caplan: I'm sure there is, but this is for initial test. The sample test and
confirmation test, is there data to support the adequate specimens?
Dr. Niedbala: No, in the beginning, we had the other page where it said we
needed to go back and show by device the principal and the amount that's
collected and calculate that out so all the drugs could be confirmed so that is
owed in a different section.
Dr. Caplan: That stays as an I. Now, G-5A, confirmatory test.
Dr. Niedbala: From the time this was written, all the drugs have been shown to
be detectable at the required levels to support the clinical performance of the
device, GC/MS. Although I still hold out that MS/MS may also be helpful and
should be an option for the laboratories, if they would like to use it and
specifically -- I think about THC.
Dr. Caplan: But those concentrations are for the target values you showed in
earlier analysis and not on the sensitivity for longer detention?
Dr. Niedbala: No, they're based upon the ROC.
Dr. Caplan: I think we know that to a greater degrees as well and this one will
stay as P. The next question is cutoff levels. And here, capable of calibrating
the procedure, there is no notation here, but it would have to be demonstrated
whether or not you could calibrate around the cutoff. There's no change there.
Now, 5-C, the same thing. G-6, the cutoffs reflect drug use. We talked about
that before. The certified lab program. I guess there obviously is no
certification program.
Dr. Niedbala: There are no laboratories performing on this panel, so I think it
is more, do you perceive it as being possible.
Mr. Crouch: What hurdles did you see?
Mr. Good: I think it is different because of the different methods of the test.
There would be a certification of, in our case, more like a rapid test for the
performance testing organization at the more local site and then there would be
an issue for confirmatory testing and so it's two different levels and I don't
know, Sam, on the collection itself. I would assume one would have some
certification for the collector to move on through to a training process and
understand how to collect the sample and the issues there. Both would have, I
think, an issue of maybe certification at the test acquisition site and
certification of any laboratory procedures that are performed.
Dr. Niedbala: I'm looking at this more from a laboratory's perspective. I don't
see an issue. There are several laboratories doing this for insurance testing
that are also drug testing laboratories. They are state-inspected currently by
multiple states. They have their procedures in place, they have them documented
and validated, I don't know of any major issue that would prevent us from doing
this in the future.
Dr. Sample: We could change this I to a P, as we have for the others.
Dr. Caplan: Okay, Page 27, external PT.
Dr. Niedbala: Neil had talked earlier about people having to wear the sweat
patch, and those sweat patches are spiked, and then used as controls for PT
specimens, we haven't seen necessity to do that. In many cases, there's a fluid
that comes along with these devices which can easily be formatted into
specimens that can be used for proficiency testing in the future. In addition
to that, we now know of various places where you can actually get true control,
positive controls, but there are no companies I know of now setting up a
program to do a proficiency testing program.
Dr. Caplan: You're saying true positive controls are available?
Dr. Niedbala: You can simulate it but you can also access different clinics and
places where the drug users get the specimens.
Dr. Sample: Is protein bonding an issue at all?
Dr. Niedbala: Sure, in terms of affecting recovery.
Dr. Sample: In the preparation of these materials, a spike versus authentic.
Dr. Niedbala: The equivalency between a real specimen collected, and I'll talk
only about one device because that's the one that I can validate against.
There's not a difference between spike and real specimens because of the
formulation of the diluents that are used so that the recoveries are
equivalent, at least with that once device.
Dr. Sample: But in theory, that could be an issue for other devices and other
techniques?
Dr. Niedbala: Absolutely.
Dr. Sample: That would be something to bear in mind.
Dr. Caplan: We still need more information here. Should we leave it I? Now, the
lab inspection program. That's probably similar to what we talked about before.
Is there any problem making this a blank? Okay, we'll change from I to blank.
Page 29, the blind samples. Is it possible to submit negative/positive samples
as if they were donor specimens?
Dr. Niedbala: The laboratories we're dealing with all do this so to me, it is
possible.
Dr. Caplan: You find this within the laboratories?
Dr. Niedbala: In other words, yes, they have a QC department that would prepare
a specimen and it is inserted.
Dr. Caplan: Questions or comments about that?
Dr. Sample: We made this a blank in sweat; in hair, we left it as it is. I think
if there are issues with respect to what we just discussed with respect to
specific collection devices, or the procedures relating to recovery, then I
would either leave this as an I or make it a P until you get more data.
Dr. Caplan: Do you have a recommendation?
Dr. Sample: P is fine with me.
Mr. Crouch: We're actually doing this sort of testing and we fortified the
saliva and we don't have any problems. That doesn't mean there couldn't be
problems with different collection devices. That would be a front-end problem
with the device, and not whether or not you could implement the program inside
the laboratory. In my mind, I don't think there's any doubt that you could do
it.
Dr. Sample: This isn't just internal blind, it's also external blind.
Dr. Caplan: Let's move the I to a P. We still need some information on the
device specific. Okay, moving to I-1, certifying scientist review. That's no
problem, so we go from P to blank. Now, onto the reporting the results by
specific drug. Again, the labs have some examples of the formats used and how
these are reported.
Dr. Niedbala: Right.
Dr. Caplan: Again, it's specific drugs. The differences between the specimens
are going to be one or the other, or both. Now, Page 31 goes from P to blank.
Now, on reporting, there's no anticipation that it will take longer. Are there
any problems moving the P to a blank? Now, I-4, Page 33. Is there any problem
there? We can go from P to blank. Now, interpreting results.
Dr. Niedbala: In the spirit of trying to understand the entire picture of the
clinical studies and control studies that we have done also include, as I said,
things like hemp oil, poppy seeds, all designed to give a complete picture of
what are the advantages of this fluid in comparison to urine as the gold
standard right now for testing. There is, at least for the Board, there is
additional information that we can supply now that wasn't previously available
on some of those subjects in addition to just showing which drugs you detect in
the classic sense.
Dr. Caplan: We expect more information. We should leave this as an I. Okay, now,
MRO, the alternative medical explanations.
Dr. Sample: That's the same thing.
Dr. Caplan: The MRO training.
Mr. Shults: I think all of those three issues are linked.
Dr. Caplan: Generally these are possible, so we should move the I to P. And then
we're into miscellaneous issues, the time window. Now, you're indicating to me
this is qualitative?
Dr. Niedbala: That was the original thought back then, but there's a lot more
information now in both single and multiple dose situations. For most of the
drugs, there are now time courses available and so there's a lot of new
information that has to be supplied back. Some of it is also based upon whether
you agree or not with this approach on sort of prevalent studies. We've done
them out in the field on large bodies to compare urine versus fluid so I will
have to supply that data.
Dr. Caplan: I think there's one critical across-the-board question, is how long
you test which drugs and we have to answer that. Let's leave that I. And
specimen contamination, again, that's the same information we talked about,
that we need more information, so we'll leave that an I. Okay, that concludes
the general checklist. Does anybody else want to make any statements or provide
any other information regarding oral fluids?
Mr. Good: I would make a quick one. We did talk about this a little earlier but
the way this is worded, it talks about metabolic process versus external
exposure. And I think as Sam said earlier, you could have residual material in
the mouth from smoking a drug that had not technically gone through a metabolic
process, but did indicate use of the drug. And I wondered if the wording on
this might exclude that type of situation.
Dr. Caplan: Certainly, we're going to need to look at it both ways. Again, as a
general statement, I want to make a general statement about all of this, what
we're doing, the process, because there have been a few questions from time to
time and I think on behalf of the Board and at least myself, how we're trying
to do this. This may hopefully be enhanced to what we did up until now, last
meeting, and through today is go through this grid in a vertical guide, going
up and down, having given some assignment of this arbitrary nature. These
shouldn't be looked at as mutually exclusive or like a Board where as soon as
you get all the things to blanks, something happens. This is a tool for the
Board to collect information as a part of the process after the information is
sort of collected vertically. And then we're going to wait for input from the
current working group to the new working groups hopefully within the next
couple of months, we're going to have took at this horizontally. In other
words, we can't take each of these things totally in absentia. So to me, there
are three stages, one we did the initial presentations to get general
information, we created a grid which you're looking at vertically and now we're
going to -' when that's done we're going to have to look at this grid
horizontally. How does each of these concepts go across the various specimens
so that we can come to the final ideas? What can be crafted or drafted as a
regulation? And we don't know the answer whether we will encompass all specimen
types or whether they have to be subrogated. So I want to point out that
particularly because there has been emphasis more on some specimens than others
is that this process, the fact that we have come to a blank, doesn't mean when
we go across the horizontally, we won't ask for more information or something
might become apparent. I don't think ' I mean, Skip drafted this draft pretty
much when we started this and none of us are going to say that every issue that
we can think of is in the grid, so there's going to be secondary pieces. So I
wanted to at least, from the point of view of the Board, make people aware of
what the process is and that is going to be a comprehensive process, going in
different directions until we come up with a final answer. And we may very well
come back to the beginning, including urine, lab-based urine will be affected
by this. We haven't talked about that. When we go across this type
horizontally, we're going to have to look at the lab-based urine as well and
whether there are potential changes or needs of that program at the same time.
Certainly adulteration is going to be an issue which will have to better
addressed with more comprehensive regulations than we had the first time. So
with that, we're finished with the oral fluids and whatever else you want to do
today.
Mr. Stephenson: If I could get a sense from the members of the Board. At this
point you feel comfortable in coming to a close and concluding the day, or are
there any other compelling issues that individual members of the Board would
like to address to the Board?
COL Jacobs: I don't think it's an issue I want to address, but I think we need
to be thinking about this FDA issue in our minds so that we have something to
bring next time we meet. And the other thing we need to about -- what is a
specimen? Is it a collection device or is it the fluid or is the fluid the
specimen? And just keep thinking about that so we can be a little further along
next time we meet.
Dr. Sample: I would also add that I would encourage those that are interested in
on-site testing to try and start coming together so that we can take that group
to the same level that we're now at with the other three groups.
Dr. Vogl: In the on-site section, I do have all of the comments that were made
at the December meeting. We can make sure that the on-site coordinator and then
the rest of that working group, get that information. It would appear as if,
based on the comments, there would not be many changes made to whether it's an
I, P or a yes. I think they can take that information and start working on
developing a response to answer those comments and issues that were identified
the last time.
Mr. Stephenson: Any other comment from members of the Board?
Dr. Caplan: I would encourage all the groups to have a meeting within the next
60 days.
Mr. Stephenson: We will help facilitate it, whatever it takes. Are there any
members of the public who would like to address a brief comment?
Mr. Thistle (Psychemedics): I just think, to echo Yale's comments, we were
talking about a work in progress here for all of these matrices. As much as
this is reported, I think there needs to be some caveat at the end that issues
that we discuss here don't necessarily equate to problems, and lack of problems
don't necessarily equate to the fact that there are no issues with testing
across-the-board. Again, we haven't hit all of these matrices yet. There are
things yet to come, but inasmuch as this is reported, either verbatim or close
to verbatim, I think there should be some caveat that knowing how things are
taken out of context, that we are discussing issues to learn more about these
matrices and it should be just that.
Mr. Stephenson: These are issues that go beyond simply learning about them for
purposes of information. It is for purposes of being able to make clear and
accurate regulation that would affect the public sector programs in which the
federal government has an oversight responsibility. Although your caveat is
well taken, and I think we can craft, if not a disclaimer, it is an issue of
focus so that it doesn't cause commercial product damage in areas where there
are already ongoing activities. In most of these areas, there are. But the
issue is in terms of applying it within the federal regulated environment. This
has to be done with due diligence; it has to be done well. I would take us one
step beyond that and add to what Aaron said -- that I would also like the
members of the Board and others that are interested in this process to begin to
look and review what you have learned about, not only the area of interest to
you specifically from an industry point of view, but across the alternative
specimens and technologies, such that we begin in this horizontal stage of the
process to look at how one test may in fact become complementary, whether it's
by drug class, whether it's by testing, circumstance, or other kinds of
application. Because I think that truly, that is where we're going to find some
good uses for current extent and so forth, but we have to be very careful how
we craft it and to make sure that we have done it with the best knowledge that
we have across all of the specimens.
Are there any other comments any other members of the group wish to make?
If there are no other constructive comments or needs to address the group, I
hereby close this meeting of the Drug Testing Advisory Board.
Note: Adjourned at 2:50 due to snow storm.