On 29 May 2020, the Brazilian President sanctioned Law No 14,006/2020 (Portuguese language), which alters Law No 13,979/2020 (Portuguese language), to permit the import and distribution of materials, drugs, equipment and health supplies related to COVID-19 that have not yet been registered with the Brazilian Health Surveillance Agency (ANVISA). Those products must be authorised by specified international sanitary authorities.
According to the new law, the importation of any product not yet registered with ANVISA and considered important for combating COVID-19 must be temporarily granted, provided that the product is registered with at least one of the following international sanitary authorities:
The law states that doctors have a duty to inform their patients about the authorisation process of the drug prescribed, so patients must be informed if the drug being prescribed to them is a product not yet registered by ANVISA, but approved by international sanitary authorities.
ANVISA has also issued a note (Portuguese language) on its position regarding the new law. ANVISA recognises that product approval processes may seem bureaucratic and slow, but states that careful procedures are necessary to ensure the quality and effectiveness of a product. In addition, ANVISA notes that the reality of healthcare is different in each country and for that reason the same product can be approved in one country and denied in others.
The authorisation to import and distribute products not yet registered with ANVISA is both extraordinary and temporary.
Beatriz M. A. Camargo Kestener, Rubens Granja, Natássia Misae Ueno and Giovanna Pasquini Malfatti, Kestener Granja and Vieira Advogados
On 28 May 2020, the Brazilian Health Surveillance Agency (ANVISA) published Resolution RDC No 392/2020 (Portuguese language), which establishes extraordinary and temporary procedures for applying exceptions to specific requirements of good manufacturing and importation practices for drugs and active pharmaceutical ingredients.
According to the Resolution, companies that manufacture and import drugs and active pharmaceutical ingredients are authorised to request an exemption from complying with certain specified technical requirements of good manufacturing and importation practices, provided that:
Companies interested in requesting an exemption under the Resolution must file their petitions using related subject codes (Portuguese language) listed on ANVISA’s website.
Beatriz M. A. Camargo Kestener, Rubens Granja, Natássia Misae Ueno and Giovanna Pasquini Malfatti, Kestener Granja and Vieira Advogados
On 3 June 2020, the Brazilian Health Surveillance Agency (ANVISA) published three public consultations regarding rules for labelling and leaflets for drugs:
According to ANVISA, the public consultations comply with:
Contributions to any of the three consultations may be submitted until 7 September 2020.
“Reproduced from Practical Law with the permission of the publishers. For further information visit www.practicallaw.com or call +44 (0)20 7542 6664.”
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