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      Meeting the goal of concurrent adolescent and adult licensure of HIV prevention and treatment strategies

      research-article
      1 , 2 , 3
      Journal of medical ethics

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          Abstract

          The ability of adolescents to access safe and effective new products for HIV prevention and treatment is optimised by adolescent licensure at the same time these products are approved and marketed for adults. Many adolescent product development programmes for HIV prevention or treatment products may proceed simultaneously with adult phase III development programmes. Appropriately implemented, this strategy is not expected to delay licensure as information regarding product efficacy can often be extrapolated from adults to adolescents, and pharmacokinetic properties of drugs in adolescents are expected to be similar to those in adults. Finally, adolescents enrolled in therapeutic HIV prevention and treatment research can be considered adults, based on US Food and Drug Administration (FDA) regulations and the appropriate application of state law. The FDA permits local jurisdictions to apply state and local HIV/sexually transmitted infection minor treatment laws so that adolescents who are HIV-positive or at risk of contracting HIV may be enrolled in therapeutic or prevention trials without obtaining parental permission.

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          Author and article information

          Journal
          7513619
          4944
          J Med Ethics
          J Med Ethics
          Journal of medical ethics
          0306-6800
          1473-4257
          23 September 2017
          15 May 2017
          December 2017
          01 December 2017
          : 43
          : 12
          : 857-860
          Affiliations
          [1 ]Department of Psychiatry, University of Wisconsin, Madison, Wisconsin, USA
          [2 ]Clinton Health Access Initiative, Boston, Massachusetts, USA
          [3 ]Office of Pediatric Therapeutics, Office of the Commissioner, Food and Drug Administration, Silver Spring, Maryland, USA
          Author notes
          Correspondence to: Dr Robert M Nelson, Office of Pediatric Therapeutics, Office of the Commissioner, Food and Drug Administration, WO32–5152, 10903 New Hampshire Ave, Silver Spring, MD 20993, USA; Robert.Nelson@ 123456fda.hhs.gov
          Article
          PMC5685924 PMC5685924 5685924 hhspa907909
          10.1136/medethics-2016-103600
          5685924
          28507222
          3a72fbd6-f13a-46fd-96a6-1400235a7e22
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