Suzanne Parisian, M.D
Medical Device Assistance, Inc.
Medical & Regulatory Consulting
7117 North 3rd Street
Phoenix, Arizona 85020
Telephone: (602) 354-8491
February 2005
To whom it may concern:
I am a former Chief Medical Officer of the Food and Drug Administration
(FDA), as well as physician, Board Certified Pathologist, past
researcher in genetics and developmental biology, author of
FDA Inside and Out, and President of Medical Device Assistance,
Inc., a regulatory and clinical consulting firm. I personally
have been involved in drug, biotechnology and device human clinical
trials and am familiar with United States requirements for ethical
biomedical conduct. I write this memo for scientists, physicians,
legislators, press, and public health advocates who have an
interest in SCNT research. I strongly urge that sound ethical
and medical practices are adopted regarding the manner in which
eggs will be extracted from healthy women donors. Important
facts for you to consider:
1. Although it is common practice in IVF facilities to extract
eggs as part of infertility treatment, many of the drugs used
during these procedures have not been adequately studied for
long term safety, nor do some of these drugs have FDA approval
for these specific indications. This is not widely understood
and has led to significant misunderstanding about the risks
involved for women who donate eggs, whether for reproductive
purposes or for SCNT research.
Pharmaceutical firms have not been required by either the government
or physicians to collect safety data for IVF drugs regarding
risk of cancer or other serious health conditions despite the
drugs having been available in the United States for several
decades. Lack of FDA approval and/or review of these drugs as
part of egg extraction procedures should be a major concern
of anyone considering SCNT research.
2. The long term health risks for a woman receiving IVF drugs
for egg retrieval are unknown.
A woman undergoing IVF stimulation today to conceive a child
has accepted that there are "unknown" long term health
risks to her body from the stimulation drugs but accepts the
risks in terms of a potential benefit to conceive a child. The
risk versus benefit calculation for a healthy woman providing
her eggs for stem cell research is not the same.
The FDA has approved some of the stimulation drugs specifically
for IVF stimulation. IVF stimulation approval was based on bioavailability
studies in small numbers of healthy female volunteers, and studies
of single cycle exposure in small populations of infertile women.
There was no requirement for long-term follow up.
Regarding potential acute short-term risks which have been
seen in stimulation trials submitted to FDA, severe Ovarian
Hyper-Stimulation Syndrome (OHSS) occurs rarely - in about 3-8%
of patients. This condition that results from over-stimulation
of the ovary can progress rapidly to a serious life-threatening
condition days after completion of egg collection. Based on
symptoms, it is classified as mild (7%) or moderate to severe
(1%). OHSS has been associated with death and has been reported
in women with polycystic ovaries, in younger women, and in women
with high estrogen hormone levels and after a woman receives
either GnRH agonist or hCG. OHSS carries an increased risk of
clotting disorders, kidney damage, and ovarian twisting. Ovarian
stimulation in general has been associated with serious life
threatening pulmonary conditions in FDA trials including thromboembolic
events, pulmonary embolism, pulmonary infarction, cerebral vascular
accident (stroke) and arterial occlusion with loss of a limb
and death.
Risks of the egg retrieval procedure, although rare, include
death, respiratory or cardiac arrest, brain damage, paraplegia,
paralysis, loss of function of a limb or organ, hemorrhage,
allergic reaction, and infection Bleeding or other injuries
which occur during retrieval may require an invasive surgical
procedure to correct and could affect future fertility.
Regarding the unknown long term risks, studies to date have
not ruled out a possible link between stimulation drugs and
an increased risk of ovarian cancer. All stimulation drugs are
Pregnancy X - which means they are contraindicated for use in
women that are pregnant due to a lack of information regarding
the safety of these drugs during pregnancy.
As a scientist, physician, former FDA official, and clinical
trial consultant, I understand why some have expressed enthusiasm
for SCNT. However, as a physician, I cannot condone SCNT at
the expense of a woman's health without giving her an opportunity
for adequate informed consent and establishing a mechanism to
ensure her safety. Women, scientists, policy makers, physicians,
and funding organizations should require that pharmaceutical
firms first disclose the actual FDA approved indications for
drugs as well as all available safety data before multiple egg
extraction from healthy female donors is pursued. All drug data
should be reviewed by a neutral, knowledgeable, and independent
oversight body whose sole purpose is to protect the safety and
rights of healthy women wishing to participate in egg donation.
Once such basic drug safety data have been gathered and reviewed,
and a regulatory framework and monitoring system are in place,
the risks and benefits of SCNT for healthy women can be better
assessed.
In the meantime, extraction at the time of an ovariectomy or
a tubal ligation offers a far safer and more ethical approach
to begin collecting eggs for SCNT research. Even single egg
extraction with natural cycling (no hormonal manipulations of
the ovary) would be safer than conventional egg extraction procedures.
Additionally and importantly, any woman willing to provide
eggs for research should have her own physician - someone not
involved in any way with the research or the research institution
and whose only job is to look out for the well-being of the
woman.
Finally, there needs to be a mechanism in place for long-term
follow-up regarding the health of women egg donors. This follow-up
must be mandatory, and also under the aegis of the independent
monitoring body. Such follow-up of the health of IVF donors
has NOT yet been conducted by pharmaceutical firms or IVF physicians
despite the long availability of these drugs and technology
in the United States.
In conclusion, there is an unfortunate and false assumption
of the public, legislators, press and physicians that all current
IVF stimulation drugs have been scientifically recognized as
"safe" by the FDA and suitable for use in healthy
women for multiple egg extraction. That simply and sadly is
not correct.
From a purely practical perspective, those promoting SCNT research
may be unknowingly tackling a far more costly and serious health
burden by allowing the expanded use of current IVF stimulation
drugs for SCNT. It is wiser to first require pharmaceutical
firms supplying the IVF drugs to provide adequate long term
safety data.
It is in the best interests of everyone - including patients,
researchers and potential egg donors - for all women contemplating
donating their eggs to be treated according to the highest ethical
and medical standards, and for their rights and safety to be
protected.
Thank you,
Suzanne Parisian, MD
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