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United States Government Accountability Office: 
GAO: 

Testimony: 

Before the Subcommittee on Emergency Preparedness, Response, and 
Communications, Committee on Homeland Security, House of 
Representatives: 

For Release on Delivery: 
Expected at 2:00 p.m. EDT:
Wednesday, April 13, 2011: 

Public Health Preparedness: 

Developing and Acquiring Medical Countermeasures Against Chemical, 
Biological, Radiological, and Nuclear Agents: 

Statement of Cynthia A. Bascetta:
Managing Director, Health Care: 

GAO-11-567T: 

GAO Highlights: 

Highlights of GAO-11-567T, a testimony before the Subcommittee on 
Emergency Preparedness, Response, and Communications, Committee on 
Homeland Security, House of Representatives. 

Why GAO Did This Study: 

The anthrax attacks of 2001 and a radiation leak after the recent 
natural disaster in Japan highlighted concerns that the United States 
is vulnerable to threats from chemical, biological, radiological, and 
nuclear (CBRN) agents, which can cause widespread illness and death. 
Medical countermeasures—such as drugs, vaccines, and diagnostic 
devices—can prevent or treat the health effects of exposure, but few 
are currently available for many of these CBRN agents. 

GAO was asked to testify on the Department of Health and Human Services’
(HHS) CBRN medical countermeasure development and acquisition 
activities. This statement focuses on (1) how HHS determines needed 
CBRN medical countermeasures and priorities for development and 
acquisition and (2) selected challenges to medical countermeasure 
development and acquisition. This statement of preliminary findings is 
based on ongoing work. To do this work, GAO examined relevant laws and 
presidential directives, analyzed federal agency documents and reports 
from advisory boards and expert groups, and interviewed officials from 
HHS and the Department of Homeland Security (DHS) about the processes 
for developing and acquiring CBRN medical countermeasures and the 
challenges related to those efforts. GAO shared the information in 
this statement with HHS. HHS provided technical comments, which GAO 
incorporated as appropriate. 

What GAO Found: 

HHS coordinates and leads federal efforts to determine CBRN medical 
countermeasure priorities and develop and acquire CBRN medical 
countermeasures, primarily through an interagency body that includes 
other federal agencies with related responsibilities, such as DHS and 
the Department of Defense. HHS’s medical countermeasure acquisition 
strategy is based on a four-step process: (1) identify and assess the 
threat of CBRN agents, (2) assess medical and public health 
consequences of attacks with these agents, (3) establish medical 
countermeasure requirements, and (4) identify and prioritize near-, 
mid-, and long-term development and acquisition. Through these 
processes, HHS determines which countermeasures to buy for specific 
CBRN agents, including the desired characteristics of these 
countermeasures—such as how many doses a vaccine requires to confer 
immunity—the needed quantity of certain medical countermeasures, and 
the acquisition priorities. While a few CBRN countermeasures can be 
immediately acquired, most have not yet been developed. Therefore, HHS 
and the interagency body support and oversee several stages of 
research and development to try to obtain usable countermeasures. 
These include basic cellular and biological research to understand the 
effects of these agents on humans; applied research to validate 
approaches, such as testing the effectiveness of treatment in animals; 
early development to assess the safety of potential countermeasures; 
and advanced development, in which the products are more fully 
evaluated for safety and effectiveness, including their formulation 
and manufacturing processes. 

The federal government faces a variety of challenges in developing and 
acquiring medical countermeasures, such as the high failure rate in 
research and development and difficulties meeting regulatory 
requirements. For example, the failure rate for development and 
licensure of most drugs, vaccines, and diagnostic devices can be more 
than 80 percent, depending on the stage of scientific research and 
development. Given this risk, as well as a lack of a commercial market 
for most medical countermeasures, attracting large, experienced 
pharmaceutical firms to research and develop them is challenging. 
Smaller biotechnology companies are more likely to be developing 
medical countermeasures, but HHS must provide more guidance to these 
less experienced small companies than might be typical with larger 
companies. In addition, several challenges exist related to regulatory 
processes for evaluating promising medical countermeasures. These 
challenges include (1) proving a countermeasure’s effectiveness using 
animals as proxies for humans, because humans cannot ethically be used 
in studies involving CBRN agents; (2) determining appropriate doses of 
countermeasures for children, who may be more vulnerable to exposure 
to CBRN agents; and (3) evaluating the safety and effectiveness of 
medical countermeasures for use in a public health emergency if they 
have not yet been approved or licensed. Finally, HHS faces the 
logistical challenge of ongoing replenishment of expiring medical 
countermeasures in the U.S. Strategic National Stockpile, the national 
repository of medications, medical supplies, and equipment for public 
health emergencies. 

View [hyperlink, http://www.gao.gov/products/GAO-11-567T] or key 
components. For more information, contact Cynthia A. Bascetta at (202) 
512-7114 or bascettac@gao.gov. 

[End of section] 

Chairman Bilirakis, Ranking Member Richardson, and Members of the 
Subcommittee: 

I am pleased to be here today to discuss the Department of Health and 
Human Services' (HHS) chemical, biological, radiological, and nuclear 
(CBRN) medical countermeasure development and acquisition activities 
and associated challenges.[Footnote 1] The anthrax attacks of 2001 
raised concerns that the United States is vulnerable to intentional 
threats from CBRN agents. In addition, the recent earthquake and 
resulting tsunami in Japan that caused a nuclear reactor to rupture 
highlighted a population's vulnerability to unintentional CBRN 
exposure, such as to radiation. CBRN agents have the potential to 
cause widespread illness and death, which can be partially mitigated 
through the use of medical countermeasures. Medical countermeasures 
for CBRN agents include drugs, vaccines, and devices to diagnose, 
treat, prevent, or mitigate potential effects of exposure. Members of 
Congress, federal commissions, and other experts have noted the need 
for the United States to acquire available medical countermeasures and 
develop new ones to protect the public from attacks with CBRN agents. 
While rapid diagnosis, treatment, and prevention may minimize the 
public health impact of a release of these agents, there are currently 
few countermeasures available for many CBRN agents, and research and 
development to create usable countermeasures is a lengthy and complex 
process. 

You asked us to provide information about HHS's CBRN medical 
countermeasure development and acquisition activities. My statement 
today addresses (1) how HHS determines needed CBRN medical 
countermeasures and priorities for development and acquisition and (2) 
selected challenges to federal CBRN medical countermeasure development 
and acquisition. 

To develop preliminary findings based on our ongoing work on HHS's 
CBRN medical countermeasure development and acquisition activities and 
selected challenges of these activities, we reviewed relevant laws and 
agency documents and interviewed federal officials. Specifically, to 
understand how HHS determines needed CBRN medical countermeasures and 
priorities for developing and acquiring them, we examined relevant 
laws and reviewed presidential directives that guide HHS's CBRN 
medical countermeasure development and acquisition activities. We 
obtained and analyzed HHS planning documents for medical 
countermeasure development and acquisition, such as public health and 
medical consequence modeling reports and strategy and implementation 
plans for medical countermeasure development and acquisition 
priorities. We interviewed officials from the Department of Homeland 
Security (DHS) about their activities related to CBRN agents and 
medical countermeasures. We also interviewed officials from HHS 
offices and agencies, including the Biomedical Advanced Research and 
Development Authority (BARDA) within the Office of the Assistant 
Secretary for Preparedness and Response (ASPR), the Centers for 
Disease Control and Prevention (CDC), the Food and Drug Administration 
(FDA), and the National Institutes of Health (NIH), to obtain 
information on their activities related to medical countermeasure 
development and acquisition. These officials participate in the Public 
Health Emergency Medical Countermeasures Enterprise (PHEMCE), HHS's 
interagency decision-making body responsible for providing 
recommendations to the Secretary of HHS regarding CBRN medical 
countermeasure development and acquisition. To identify selected 
challenges that the federal government faces in developing and 
acquiring CBRN medical countermeasures, we reviewed reports from 
federal agencies, advisory boards, and nongovernmental organizations 
and interviewed federal officials from the agencies identified above 
and other experts. We included selected challenges that were discussed 
in multiple reports published by federal agencies or other expert 
groups, such as the Institute of Medicine, or those mentioned to us by 
officials from multiple federal agencies or organizations. We did not 
include any challenges that related to interagency coordination and 
agency investments in medical countermeasure development and 
acquisition because we are currently examining these issues for 
ongoing audit work. In addition, because it was not the focus of this 
hearing, we excluded HHS processes for and challenges in distributing 
CBRN medical countermeasures from the scope of this statement. We 
shared the information in this statement with HHS. HHS provided 
technical comments, which we incorporated as appropriate. 

We are conducting this performance audit in accordance with generally 
accepted government auditing standards. This statement is based on 
work conducted from March 2011 to April 2011. The performance audit 
standards require that we plan and perform the audit to obtain 
sufficient, appropriate evidence to provide a reasonable basis for our 
findings and conclusions based on our audit objectives. We believe 
that the evidence obtained provides a reasonable basis for our 
findings and conclusions based on our audit objectives. 

Background: 

Several federal departments and agencies have responsibilities for 
assessing the threat of CBRN agents and determining requirements and 
priorities for developing and acquiring medical countermeasures for 
these agents, as part of their mission and, in some cases, as 
specifically required by law. 

DHS leads federal interagency coordination and planning for emergency 
response to catastrophic CBRN incidents. Under the Project BioShield 
Act of 2004, DHS is required, in consultation with HHS, to assess the 
threat of CBRN agents.[Footnote 2] 

HHS leads the federal medical and public health response to potential 
CBRN incidents. 

* HHS established PHEMCE in 2006. PHEMCE is a federal interagency 
decision-making body responsible for providing recommendations to the 
Secretary of HHS on (1) prioritized requirements for CBRN medical 
countermeasures, (2) coordination of medical countermeasure 
development and acquisition activities to address the requirements, 
and (3) strategies for distributing medical countermeasures held in 
the U.S. Strategic National Stockpile (SNS), the national repository 
of medications, medical supplies, and equipment for use in a public 
health emergency. As required by the Pandemic and All-Hazards 
Preparedness Act of 2006, PHEMCE also conducts annual reviews of the 
SNS, the results of which are used to make necessary additions or 
modifications to its contents.[Footnote 3] PHEMCE is composed 
primarily of officials from HHS's ASPR, BARDA, CDC, FDA, and NIH, 
which also have specific agency responsibilities for countermeasure 
development and acquisition. In addition, PHEMCE includes officials 
from DHS, the Department of Defense (DOD), the Department of Veterans 
Affairs, the Department of Agriculture, and the Executive Office of 
the President. 

* Within HHS, ASPR is responsible for leading federal government 
efforts to research, develop, evaluate, and acquire public health 
emergency medical countermeasures to prevent, treat, or mitigate the 
potential health effects from exposure to CBRN agents. Under the 
Project BioShield Act, HHS is responsible for arranging for the 
acquisition of certain medical countermeasures, some of which may not 
yet be FDA-approved or licensed.[Footnote 4] These countermeasures 
also include those for children and other vulnerable populations, such 
as those for the elderly and immunocompromised individuals. The 
Project BioShield Act authorized the Special Reserve Fund for 
acquisition of these countermeasures.[Footnote 5] 

* Within ASPR, BARDA--established by the Pandemic and All-Hazards 
Preparedness Act of 2006--is responsible for overseeing and funding 
advanced development and acquisition of CBRN medical countermeasures. 
[Footnote 6] 

* CDC is responsible for maintaining the SNS. CDC also supports state 
and local public health departments in their efforts to detect and 
respond to public health emergencies such as CBRN incidents, including 
providing guidance and recommendations for the mass distribution and 
use of medical countermeasures. 

* FDA is responsible for assessing the safety and effectiveness of 
CBRN medical countermeasures and regulates their development, approval 
and licensure, and postmarket surveillance.[Footnote 7] FDA also 
provides technical support for the development of tools to support 
medical countermeasure development. Under the Project BioShield Act, 
as delegated by the HHS Secretary, FDA may temporarily authorize the 
emergency use of unapproved or unlicensed medical products in certain 
circumstances through emergency use authorizations (EUA).[Footnote 8] 

* The National Institutes of Health (NIH) is responsible for 
conducting and coordinating basic and applied research to develop new 
or enhanced medical countermeasures and related medical tools for CBRN 
agents. 

* The National Biodefense Science Board (NBSB), established by the 
Pandemic and All-Hazards Preparedness Act, provides the HHS Secretary 
with expert advice and guidance on scientific and technical matters 
related to current and future CBRN agents, including those that occur 
naturally.[Footnote 9] 

DOD has exclusive responsibility for research, development, 
acquisition, and deployment of medical countermeasures to prevent or 
mitigate the health effects of CBRN agents and naturally occurring 
diseases on Armed Forces personnel. Under the PHEMCE structure, DOD 
also coordinates with HHS on the Integrated Portfolio to identify 
common medical countermeasure priorities.[Footnote 10] 

HHS, Through PHEMCE, Uses a Four-Step Process to Determine Acquisition 
Priorities for Medical Countermeasures and Oversees Their Development: 

HHS coordinates and leads federal efforts to determine CBRN medical 
countermeasure priorities and develop and acquire CBRN medical 
countermeasures, primarily through PHEMCE. HHS's medical 
countermeasure acquisition strategy is based on a four-step process: 
(1) identify and assess the threat of CBRN agents, (2) assess medical 
and public health consequences of attacks with these agents, (3) 
establish medical countermeasure requirements, and (4) identify and 
prioritize near-, mid-, and long-term development and acquisition 
programs.[Footnote 11] Because desired CBRN medical countermeasures 
may not be immediately available for acquisition, HHS oversees and 
supports the various stages of research and development of these 
countermeasures, also under PHEMCE. (See figure 1.) 

Figure 1: Medical Countermeasures: Process to Prioritize Development 
and Acquisition: 

[Refer to PDF for image: illustration] 

Identify threats: DHS; 

Assess medical consequences: PHEMCE; 

Establish counter-measure requirements: PHEMCE; 

Prioritize development and acquisition: PHEMCE; 

Determine if existing products can serve as countermeasures: PHEMCE: 
Support basic research: NIH; 
Support applied research: NIH; 
Support early development: NIH; 
Support advanced development: BARDA; 

Acquisition & licensure: PHEMCE, BARDA, FDA[A]. 

Source: GAO analysis of HHS information. 

[A] FDA works with researchers throughout the development stages, to 
review safety and effectiveness test results, ensure that research 
meets FDA's regulatory requirements, and approve successful products 
for licensure. 

[End of figure] 

With input from HHS, DHS leads the first step in the process to 
assess, on an ongoing basis, the threat of CBRN agents and determine 
which of these agents pose a material threat to national security, as 
required by the Project BioShield Act.[Footnote 12] The material 
threat assessments (MTA) that DHS issues examine the threat posed by 
given CBRN agents or classes of agents for plausible, high-consequence 
scenarios and provide estimates of the number of people exposed to 
different dose levels of an agent in the scenarios. Since 2004, DHS 
has determined that 13 of these CBRN agents pose a material threat, 
based on the MTAs.[Footnote 13] 

In the second step, HHS and its PHEMCE partners use the data from the 
MTA scenarios to assess the public health and medical consequences of 
an attack using these agents.[Footnote 14] Public health consequence 
modeling estimates the number of individuals who may become ill, be 
hospitalized, or die from exposure to and infection with CBRN agents, 
with or without medical intervention. To develop these estimates from 
the MTA exposure data, HHS consults with experts and uses available 
scientific data, such as data on how much of an agent is needed to 
cause infection and how long it takes to develop symptoms of disease 
after exposure. In addition, HHS assesses the status of current 
countermeasure development and availability, including applicable 
countermeasures that DOD may be developing. Through consequence 
modeling, HHS determines the public health impact on the affected 
population in terms of the potential health effects throughout the 
course of disease based on different time frames for medical 
countermeasure delivery and treatment. According to HHS officials, 
consequence modeling allows PHEMCE to consider public health 
preparedness needs, such as whether a particular countermeasure is 
plausible or feasible for a certain CBRN agent and the amount that 
would be needed. 

In the third step, PHEMCE uses the consequence modeling results to 
determine requirements for needed medical countermeasures, including 
the needed quantity and the desired characteristics, such as how they 
would be used and stored. HHS officials told us that these 
requirements would include the preferred method of administration, 
such as oral administration of a medicine that can be stored at room 
temperature. PHEMCE partners consult with experts and incorporate 
intelligence information and information on state and local response 
capabilities to determine ideal countermeasure characteristics. If 
countermeasures that meet these characteristics are not immediately 
available, HHS may acquire countermeasures that are currently 
available and work with manufacturers over time to develop 
countermeasures that better meet the ideal characteristics.[Footnote 
15] 

In the fourth step, the established medical countermeasure 
requirements help HHS assess and prioritize its countermeasure 
investments, and, according to HHS officials, form the basis for 
development and acquisition solicitations and contracts. Based on the 
requirements, in 2007, PHEMCE set its medical countermeasure 
acquisition priorities to focus on spending the remainder of the 
Project BioShield Special Reserve Fund for certain CBRN agents that 
DHS determined posed a material threat to national security. In 
addition, PHEMCE priorities focus on obtaining medical countermeasures 
for postexposure prevention or treatment of disease caused by those 
CBRN agents. HHS grouped these priorities in time frames for the near 
term (fiscal year 2007 through fiscal year 2008), midterm (fiscal year 
2009 through fiscal year 2013), and long term (beyond fiscal year 
2013). PHEMCE's stated priorities include acquiring diagnostics for 
each biological agent deemed a material threat, smallpox vaccine, 
medical countermeasures for Ebola and Marburg viruses, and medications 
to treat the acute and delayed effects of radiation. PHEMCE also uses 
the results of its annual SNS review to reassess prioritization of 
CBRN medical countermeasures, based on any SNS acquisitions made after 
the initial 2007 prioritizations. 

BARDA oversees the acquisition and delivery of medical countermeasures 
into the SNS. If a medical countermeasure is not FDA-approved or 
licensed, its acquisition is funded by BARDA using the Project 
BioShield Special Reserve Fund. If a medical countermeasure is FDA- 
approved or licensed for use in treating the health effects of a CBRN 
agent, CDC purchases the countermeasure for the SNS. HHS officials 
told us that once FDA approves or licenses a countermeasure acquired 
with the Special Reserve Fund, BARDA is still responsible for 
overseeing its acquisition through the end of the Project BioShield 
contract. BARDA is also responsible for negotiating with the 
manufacturer to obtain additional quantities of the countermeasure in 
the event of a CBRN attack. CDC officials told us that they develop a 
5-year project plan for each countermeasure in the SNS upon 
acquisition to evaluate specific needs over time--such as shelf life, 
replacement costs of expiring products, and storage and space 
requirements--and update the plan every year, or more frequently if 
conditions change. 

HHS officials told us that of the few available medical 
countermeasures for CBRN agents, some are FDA-approved or licensed 
specifically for CBRN use. Other countermeasures that HHS has acquired 
for CBRN use have been approved or licensed for other uses only. For 
example, there are no currently available rapid diagnostic tools for 
any of the biological agents that DHS deemed material threats other 
than anthrax, nor are there any available medical countermeasures for 
postexposure prevention of disease for Ebola and Marburg viruses. 

NIH and BARDA oversee and support CBRN medical countermeasure research 
and development, which is conducted in several stages.[Footnote 16] 
(See figure 1.) 

* Early research: Early, or basic, research seeks to better understand 
CBRN agents and the response of the host organism to the agents 
through the study of the cellular and molecular biology of agents and 
hosts, their physiologic processes, and their genome sequences and 
structures. According to NIH officials, individual researchers 
typically initiate research in this stage. NIH assesses these research 
projects and their application for specific CBRN agents. 

* Applied research: Applied, or translational, research builds on 
basic research by validating and testing concepts in practical 
settings to identify potential products. NIH officials told us that 
the agency funds applied research to identify scientific or practical 
limitations that may affect the potential of a scientific concept to 
develop into a medical countermeasure product. 

* Early development: NIH moves successful concepts from the applied 
research stage into the early development stage, in which it funds 
research to demonstrate basic safety, reproducibility, and ability to 
be used in humans. In its requests for research proposals for early 
development, NIH officials told us that the agency specifies its needs 
by product modes and categories, such as therapeutics, diagnostics, 
and vaccines; NIH can further specify the characteristics of a medical 
countermeasure, and companies agree to the terms of the contract up 
front. 

* Advanced development: BARDA oversees and funds CBRN advanced 
research and development. In this stage, potential medical 
countermeasures are further evaluated in animal studies to demonstrate 
safety and effectiveness for preventing, diagnosing, or treating 
disease in humans. Successful products are then available for 
development and acquisition. In addition, in this stage, BARDA 
determines that manufacturing, scale-up production, and licensing of 
countermeasures can be achieved in a timely and reliable manner. BARDA 
also awards contracts using the Project BioShield Special Reserve Fund 
to acquire medical countermeasures for the SNS that are reasonably 
expected to qualify for FDA approval or licensure within 8 years. 

Challenges to Development and Acquisition of Medical Countermeasures 
Include High Failure Rates in Research and Difficulties Meeting 
Regulatory Requirements: 

The federal government faces a variety of challenges in developing and 
acquiring medical countermeasures, such as the high failure rate in 
research and development and difficulties meeting regulatory 
requirements. One scientific challenge is that, as with other medical 
products, the failure rate for development of certain CBRN medical 
countermeasures can be high, depending on the stage of scientific 
research and development. HHS estimates that the failure rate for 
development and licensure of most drugs, vaccines, and diagnostic 
devices in the early development stage can be more than 80 percent, 
with an increasing probability of success as the product moves further 
through development. Because most CBRN research does not result in 
viable medical countermeasures, HHS officials told us that they try to 
fund a larger set of candidates in earlier stages of research in order 
to increase the likelihood that at least one candidate countermeasure 
may be successful. HHS officials noted that they would ideally prefer 
to have at least two successfully developed medical countermeasures 
from different manufacturers available for a particular CBRN agent for 
several reasons, such as if certain segments of the population are 
resistant to one of the countermeasures or if one of the companies 
experiences manufacturing problems. 

Given the high risk of failure in research, as well as a lack of a 
commercial market for most CBRN countermeasures, attracting companies 
experienced in meeting the complex requirements necessary to develop a 
new product is also challenging. The private sector--especially large 
pharmaceutical companies--has little incentive to invest millions of 
dollars to develop a potential new medical countermeasure because the 
lack of a commercial market makes a return on investment less likely 
or less lucrative. The Project BioShield Act facilitates the creation 
of a government market by authorizing the government to commit to make 
the Special Reserve Fund available to acquire certain medical 
countermeasures, including those that are not yet licensed or 
approved, provided they meet certain conditions.[Footnote 17] In 
addition, the Pandemic and All-Hazards Preparedness Act established 
BARDA to support advanced research and development by, for example, 
awarding contracts and grants for countermeasure advanced research and 
development.[Footnote 18] BARDA provides funding for advanced research 
and development for those countermeasures that are not eligible for 
the Special Reserve Fund. Nevertheless, despite the Special Reserve 
Fund and BARDA support, HHS and others have noted that engaging large 
pharmaceutical companies remains a challenge. In addition, smaller 
biotechnology companies conducting much of the research and 
development for medical countermeasures generally have less experience 
with drug development. As a result, FDA officials told us that they 
have to provide more regulatory and scientific guidance to these 
companies than they might provide to larger pharmaceutical companies, 
which generally have more experience with bringing products through 
the regulatory process. 

There are also several challenges related to the regulatory processes 
for evaluating the development of promising medical countermeasures. 
For example, researchers face challenges proving the effectiveness of 
potential countermeasures because they cannot ethically or feasibly 
test the effectiveness of countermeasures on humans due to the dangers 
posed by CBRN agents. However, because FDA requires evidence of a 
countermeasure's effectiveness for approval or licensure, researchers 
can submit evidence of effectiveness obtained from appropriate studies 
in animals in accordance with FDA's Animal Rule. The Animal Rule 
states that in selected circumstances, when it is neither ethical nor 
feasible to conduct human efficacy studies, FDA may grant marketing 
approval based on adequate and well-controlled animal studies when the 
results of those studies establish that the drug or biological product 
is reasonably likely to produce clinical benefit in humans.[Footnote 
19] Under this rule, researchers can demonstrate effectiveness of 
medical countermeasures if the way a disease occurs in the animal 
being studied adequately mimics the way the disease occurs in humans. 
However, animals that manifest the disease in the same way as humans 
may not always exist for a given CBRN agent. For example, according to 
FDA officials, smallpox occurs only in humans, and related viruses 
that occur in animals, such as monkey pox, may not be similar enough 
to mimic smallpox in humans. Because of the complexities of using 
animal studies as models for human reactions to agents and potential 
countermeasures, FDA would prefer to meet with researchers earlier and 
more frequently, and FDA takes longer to evaluate product applications 
for CBRN medical countermeasures than to evaluate other medical 
products. In addition, the NBSB and others have reported that 
researchers face difficulty in applying FDA's draft guidance on the 
Animal Rule, which is currently under revision. According to the 
guidance, the agent tested in the animal must be identical to the 
agent that causes human disease. However, as discussed above, some 
animal studies may not meet that criterion and therefore cannot be 
used to demonstrate a countermeasure's effectiveness. To date, FDA has 
not approved any newly developed CBRN medical countermeasures based on 
animal model testing.[Footnote 20] 

Determining appropriate doses of CBRN countermeasures for children, 
who may be more vulnerable to the adverse effects of a CBRN agent, 
also involves regulatory challenges.[Footnote 21] Most approved or 
licensed CBRN medical countermeasures have been approved for use in 
adults only and lack pediatric dosing information. In addition, 
several candidate medical countermeasures currently in development 
lack or have limited pediatric dosing information. Regulations 
restrict children's participation in clinical trials when they do not 
benefit from them;[Footnote 22] therefore, developing pediatric dosing 
information relies on existing adult data or data from animal studies. 

There are also challenges in the processes for evaluating the 
emergency use of a promising medical countermeasure that has not been 
FDA-approved or licensed for treatment or postexposure prevention of 
disease for a given CBRN agent. In order for the government to use an 
unapproved countermeasure to respond to a CBRN event, FDA must issue 
an EUA. FDA can issue EUAs only after the HHS Secretary declares a 
public health emergency. In order for FDA to issue an EUA, CDC or 
another government or private entity has to submit detailed 
information for FDA to evaluate, such as available safety and 
effectiveness information, a discussion of risks and benefits of using 
the unapproved countermeasure, draft fact sheets for health care 
providers and patients, and instructions for using the countermeasure. 
While CDC or other entities may submit all available data for FDA 
review in advance, such as when CDC acquires a countermeasure for the 
SNS, the agency must formally submit the EUA request at the time of 
the declared emergency. In the event of an attack with a CBRN agent 
that can cause disease within hours or days after exposure, CDC and 
FDA would have to process the final documents quickly in order for FDA 
to issue EUAs for appropriate medical countermeasures. Further, the 
Project BioShield Act precludes the use of data collected during the 
emergency use of an unapproved product to constitute a clinical 
investigation to support later product approval.[Footnote 23] 

Finally, CDC faces the logistical challenge of ongoing replenishment 
of expiring medical countermeasures in the SNS. CDC can work with FDA 
to extend the expiration date of certain drugs in the stockpile, and 
thereby defer the cost of replacing the countermeasure and extend its 
availability for use in a potential CBRN event. In such cases, 
however, FDA has to conduct studies to ensure stability and quality of 
each drug. In addition, CDC faces the cost of relabeling the products 
to reflect the new expiration date. If the shelf life of an expiring 
countermeasure cannot be extended, CDC must replace it. For some 
countermeasures in the SNS, CDC may not face this challenge. For 
example, CDC officials told us that anthrax vaccine is moved out of 
the SNS before expiration because CDC rotates it out to DOD facilities 
for routine use.[Footnote 24] In addition, other countermeasures may 
be held for the SNS by private vendors and can be used commercially, 
provided that the vendors hold a certain amount for use in the event 
of a public health emergency. 

Chairman Bilirakis, this concludes my prepared statement. I would be 
happy to answer any questions that you, Ranking Member Richardson, or 
other Members of the Subcommittee may have. 

GAO Contact and Staff Acknowledgments: 

For further information about this statement, please contact Cynthia 
A. Bascetta at (202) 512-7114 or bascettac@gao.gov. Contact points for 
our Offices of Congressional Relations and Public Affairs may be found 
on the last page of this statement. Key contributors to this statement 
were Marcia Crosse, Director; Sheila K. Avruch, Assistant Director; 
Shana R. Deitch; Tracey King; Corissa Kiyan; Carolina Morgan; and 
Roseanne Price. 

[End of section] 

Appendix I: Abbreviations: 

ASPR: Office of the Assistant Secretary for Preparedness and Response: 

BARDA: Biomedical Advanced Research and Development Authority: 

CBRN: chemical, biological, radiological, and nuclear: 

CDC: Centers for Disease Control and Prevention: 

DHS: Department of Homeland Security: 

DOD: Department of Defense: 

EUA: emergency use authorization: 

FDA: Food and Drug Administration: 

HHS: Department of Health and Human Services: 

MTA: material threat assessment: 

NBSB: National Biodefense Science Board: 

NIH: National Institutes of Health: 

PHEMCE: Public Health Emergency Medical Countermeasures Enterprise: 

SNS: U.S. Strategic National Stockpile: 

[End of section] 

Footnotes: 

[1] See appendix I for a list of abbreviations used in this statement. 

[2] 42 U.S.C. § 247d-6b(c)(2)(A). 

[3] 42 U.S.C. § 247d-6b(a)(1). 

[4] 42 U.S.C. § 247b(c)(7)(C)(i). 

[5] 42 U.S.C. § 247d-6b(c)(1)(A). The Department of Homeland Security 
Appropriations Act of 2004 appropriated over $5.5 billion to the 
Special Reserve Fund to be available for obligation from fiscal year 
2004 through fiscal year 2013. Pub. L. No. 108-90, 117 Stat. 1137, 
1148 (2003). The Project BioShield Act also authorizes the federal 
government to use specific contracting authorities to procure certain 
medical countermeasures for these agents and requires HHS to report on 
these contracting authorities and procurements using the Special 
Reserve Fund, among other information. 42 U.S.C. §§ 247d-6b, 247d-6c. 

[6] 42 U.S.C. § 247d-7e. The act also gave BARDA the authority to make 
advance and milestone-based payments to vendors prior to product 
delivery to the SNS. 42 U.S.C. § 247d-7e(c)(5)(C), (D). 

[7] In FDA regulations, drugs are "approved," vaccines and other 
biologics are "licensed," and devices may either be "approved" or 
"cleared." For this statement, we use the term "approve" to refer to 
both approval and clearance. 

[8] 21 U.S.C. § 360bbb-3. FDA can issue EUAs only after the HHS 
Secretary declares a public health emergency and under certain 
circumstances. For example, FDA can issue EUAs in declared emergencies 
only if the agent specified in the emergency declaration can cause a 
serious or life-threatening disease or condition; the known and 
potential benefits outweigh the known and potential risks of the 
countermeasure to diagnose, prevent, or treat the condition; and there 
is no adequate, approved, and available alternative to the product, 
among other requirements. FDA has issued 19 EUAs since 2004. In 2005, 
FDA issued an EUA for an anthrax vaccine to allow vaccination of DOD 
personnel. FDA has also issued several EUAs for medical 
countermeasures to diagnose and treat pandemic strains of influenza. 
The only currently active EUA is for anthrax antibiotics in home kits 
for postal workers to be used in the event of an anthrax attack. 

[9] 42 U.S.C. § 247d-7f. 

[10] The Integrated Portfolio is intended to reduce duplication of 
effort and provide a mechanism for HHS and DOD to share information 
and resources for common CBRN medical countermeasure priorities. 

[11] PHEMCE's near-term development and acquisition period is fiscal 
years 2007 and 2008; the midterm period is fiscal year 2009 through 
fiscal year 2013, and the long-term period is beyond fiscal year 2013. 
PHEMCE established these development and acquisition periods to 
correspond with appropriations for the Special Reserve Fund. The 
Department of Homeland Security Appropriations Act appropriated over 
$5.5 billion for the Special Reserve Fund to be available for 
obligation through fiscal year 2013 but provided that no more than 
$3.4 billion may be obligated through fiscal year 2008. 

[12] Pub. L. No. 108-276, § 3(a), 118 Stat. 835, 842 (2004) (codified 
as amended at 42 U.S.C. § 247d-6b(c)(2)(A)(B)). 

[13] The 13 agents that DHS determined pose a material threat to 
national security and public health are Bacillus anthracis (anthrax), 
Burkholderia mallei (glanders), Burkholderia pseudomallei 
(melioidosis), Clostridium botulinum (botulism toxin), Ebola virus 
(hemorrhagic fever), Francisella tularensis (tularemia), Junin virus 
(hemorrhagic fever), Marburg virus (hemorrhagic fever), multidrug- 
resistant Bacillus anthracis (MDR anthrax), Rickettsia prowazekii 
(typhus), Variola major (smallpox), Yersinia pestis (plague), and 
radiological and nuclear materials. 

[14] To date, DHS has not issued determinations that any of the 
assessed chemical agents pose a material threat to the United States. 
Nevertheless, HHS has assessed the public health consequences of 
chemical agents for which DHS has developed MTAs. 

[15] For example, HHS officials said that they would like to acquire 
an anthrax vaccine that confers immunity in a single dose, but because 
no such vaccine was available when HHS set the requirements, the 
department initially acquired a vaccine that could provide immunity in 
six doses. Through further research, HHS was able to determine that 
this vaccine could be administered in fewer doses. 

[16] FDA works with researchers throughout the development stages, to 
review safety and effectiveness test results, ensure that research 
meets FDA's regulatory requirements, and approve successful products 
for licensure. 

[17] 42 U.S.C. § 247d-6b(c)(4)(A). 

[18] 42 U.S.C. § 247d-7e(c)(4)(B). 

[19] 21 C.F.R. §§ 314.600-.650; 601.90-.95. 

[20] Under the Animal Rule, FDA has approved existing products for 
CBRN use, such as drugs to treat the effects of nerve gas and cyanide 
exposure. 

[21] See National Commission on Children and Disasters, 2010 Report to 
the President and Congress (Rockville, Md.: October 2010). According 
to the report, in a CBRN incident children may be more vulnerable to 
exposure than adults because children inhale more air and consume more 
water in comparison to their body weight than adults. 

[22] 21 C.F.R. §§ 50.50-.56. 

[23] 21 U.S.C. § 360bbb-3(k). 

[24] CDC and DOD have an agreement to share anthrax vaccine, which CDC 
holds in the SNS for DOD use. 

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