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04 September 2019
On 5 July 2019 Health Canada announced a consultation on its new draft guidance: The Distinction Between Promotional and Non-promotional Messages and Activities for Health Products. 'Health product advertising' is defined as including "any representation by any means whatever for the purpose of promoting directly or indirectly the sale or disposal of any food, drug, cosmetic or device", and is strictly regulated in Canada. If a message is not considered to promote, sell or dispose, it is not subject to the Food and Drugs Act and Regulations. Health Canada's guidance is intended to clarify and outline the factors and circumstances that contribute to rendering a message or activity non-promotional. The document updates Health Canada's 1996 policy on the subject, which was last updated in 2005 for administrative purposes. Comments were accepted until 3 September 2019.
For further information on this topic please contact Abigail Smith at Smart & Biggar by telephone (+1 416 593 5514) or email (email@example.com). The Smart & Biggar website can be accessed at www.smart-biggar.ca.
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