Department of Health and Human Services' logo Department of Health and Human Services

Public Health Service
Food and Drug Administration
Florida District Office


555 Winderley Pl #200
Maitland, FL 32751
Telephone: 407-476-4700
FAX: 407-476-4769

November 20, 1998

Leonard Edelman, President
Spectramin, Inc.
5401 NW 102nd Ave
Sunrise, FL 33351

Ref. No. FLA-99-13

Dear Mr Edelman:

This letter is in reference to your firm's marketing, labeling (including promotional materials), and distribution of a number of products that make disease claims. These products and examples of disease claims include: "Ultra Prost-Aide 2000": "offers hope for men who struggle with the unpleasant and often disabling effects of prostate disorders".

The Final Rule, dated February 27, 1990, and the Non-Traditional Drug Bulletin #20, dated March 18, 1997, addressed Benign Prostatic Hypertrophy (BPH) Drug Products for Over-the-Counter (OTC) Human Use. It was determined that any drug product offered for OTC human use for BPH is not generally recognized as safe and effective and is, therefore, misbranded. The name of the product also implies intended use as a drug.

"Stop Smoking Formula, " which contains lobelia extract, cayenne pepper, vitamin A, vitamin C, ginger root, ephedra extract, and scull cap herbs, bears claims on the label that it is "…DESIGNED TO HELP REDUCE THE DESIRE TO SMOKE AND THE CRAVING FOR NICOTINE. Additionally, the Spectramin Health Catalog bears claims that the "Stop Smoking Formula" will help "…you kick the habit. It reduces the yen to smoke and addictive nicotine cravings. Lobelia extract acts as a substitute for nicotine so you can quit without withdrawal symptoms."

The product is subject to a final rule (Title 21 Code of Federal Regulations Part 310.544) covering OTC drug product offered as smoking deterrents. Under that rule, any OTC drug product that is labeled, represented, or promoted as a smoking deterrent is considered a "new drug" (section 201(p) of the Act) which may not be legally marketed unless the product has an approved New Drug Application (NDA).

Based on the claims noted above, these products are drugs [section 201(g) of the Federal Food, Drug, and Cosmetic Act (the Act)] and also "new drugs" [section 201(p) of the Act]. Therefore, they may not be marketed in the United States without approved new drug applications [section 505(a) of the Act].

These drugs are also misbranded [section 502(f)(1) of the Act] because the labeling fails to bear adequate directions for use. The labeling is false and misleading as it suggests that the products are safe and effective for their intended uses when, in fact, this has not been established [section 502(a) of the Act].

This letter is not intended to be an all inclusive review of all labeling and products your firm markets. It is your responsibility to ensure that all products marketed by your firm are in compliance with the Act and its implementing regulations. We also object to the claims made forthefollowing products because these claims cause them to appear to be new drugs. We strongly recommend that you address these apparent violations at this time. Examples of the products and their disease claims include:

We request that you take prompt action to correct these violations. Failure to promptly correct violations may result in enforcement action being initiated by the Food and Drug Administration without further notice. The Federal Food, Drug and Cosmetic Act provides for the seizure of illegal products and for injunction against the manufacturer and/or distributor of illegal products.

Please notify this office in writing within fifteen (15) working days of receipt of this letter as to the specific steps you have taken to correct the stated violations. You should also include an explanation of each step being taken to identify and make corrections to assure that similar violations will not recur. If corrective action cannot be completed within 15 working days, state the reason for the delay and the time within which the corrections will be implemented.

Your reply should be sent to Jimmy E. Walthall, Compliance Officer, US Food and Drug Administration, 555 Winderley Pl #200, Maitland, FL 32751, telephone 407-475-4731.

Douglas D. Tolen
District Director

This page was posted on August 20, 2006.

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