ARTICLE
31 March 2021

FDA Announces Facility Fees For OTC Drug Manufacturers

SM
Sheppard Mullin Richter & Hampton

Contributor

Sheppard Mullin is a full service Global 100 firm with over 1,000 attorneys in 16 offices located in the United States, Europe and Asia. Since 1927, companies have turned to Sheppard Mullin to handle corporate and technology matters, high stakes litigation and complex financial transactions. In the US, the firm’s clients include more than half of the Fortune 100.
On Friday, March 26, 2021, FDA published a Federal Register notice, "Fee rates under the Over-The-Counter Monograph Drug User Fee Program for Fiscal Year 2021," announcing 2021...
United States Food, Drugs, Healthcare, Life Sciences

On Friday, March 26, 2021, FDA published a Federal Register notice,  "Fee rates under the Over-The-Counter Monograph Drug User Fee Program for Fiscal Year 2021," announcing 2021 fee rates under its over-the-counter (OTC) monograph drug user program.  This is the first year that FDA has collected user fees from OTC drug manufacturers and submitters of OTC monograph order requests under its new authority under the Coronavirus Aid, Relief, and Economic Security (CARES) Act.  With limited exceptions, all manufacturers of OTC drugs must pay a facility fee, which exceeds $20,000, by May 10, 2021 (45 days after publication of the notice).

Schedule of Fees

Section 744M of the Federal Food, Drug, and Cosmetic Act (FDCA, 21 U.S.C. § 379j-72), as added by the CARES Act, authorizes FDA to assess and collect: (1) facility fees from qualifying owners of OTC monograph drug facilities and (2) fees from submitters of certain OTC monograph order requests (OMOR). The fees will support FDA's OTC monograph drug activities, including inspection of facilities associated with OTC products and evaluation of industry-initiated OMORs.

OTC Facility Fee
Manufacturer $20,322
Contract Manufacturer $13,548
OTC Monograph Order Request  
Tier 1 $500,000
Tier 2 $100,000


Who Must Pay the Facility Fee?

Two types of OTC monograph drug facilities must pay the 2021 fee-OTC monograph drug facilities (MDF) and contract manufacturing organization (CMO) facilities (including facilities with operations in 2020).

An MDF is a domestic or foreign business or other entity that is engaged in manufacturing or processing the finished dosage form of an OTC monograph drug.  See section 744L(10) of the FDCA.   A CMO facility is a MDF where neither the owner-nor any affiliate of the owner or facility-sells the OTC monograph drug produced at the facility directly to wholesalers, retailers, or consumers in the United States.  See section 744L(2) of the FDCA.  CMOs include finished dosage form manufacturers that are in a contractual relationship with the sponsor of one or more OTC monograph drugs to manufacture or process such drugs.

Fees are due 45 days from publication of the order (March 26, 2021), which is May 10, 2021.

Who is Exempted From the Facility Fee?

CMOs that only conduct the activities below are not required to pay a facility fee:

  • manufacture or process clinical research supplies;
  • conduct product testing (g., contract laboratories); or
  • conduct "outer packaging" activities for OTC products that are already in final packaged form (g., creating multipacks).

Also, entities that registered with FDA during the COVID-19 pandemic, whose sole activity with respect to OTC monograph drugs during the pandemic consists (or had consisted) of manufacturing OTC hand sanitizer products, are not considered OTC monograph drug facilities and are not subject to facility fees.

Facilities that ceased OTC monograph drug activities, and updated their registration with FDA to that effect, prior to December 31, 2019, also are not required to pay.

What are OTC Monograph Order Request (OMOR) Fees?

In addition to facility fees, the FDA is authorized to assess and collect fees from submitters of OTC monograph order requests (OMOR).  An OMOR is a request for an administrative order from FDA that issues, revises, or amends an OTC monograph.  The OMOR process, implemented under the CARES Act, replaced the long-standing monograph rulemaking process that has been subject to scrutiny for decades.  OMORs can be made by any person marketing, manufacturing, processing, or developing a drug.

Tier 1 OMORs are broadly defined and include any OMORs that do not qualify as Tier 2 OMORs, which include essentially minor changes to existing monographs.  For example, Tier 2 OMORs can include the reordering of existing information in the drug facts label of an OTC monograph drug, the addition of information to the "Other Information" section of the drug facts label (subject to certain limitations), and modification to the "Directions for Use" section of the drug facts label of an OTC monograph drug, consistent with a minor dosage form change.

OMOR fees are due with the OMOR submission.

Where Can I Find More Information? 

More information about facility and OMOR fees, including how to make electronic payment, can be found on FDA's web site, here: https://www.fda.gov/drugs/over-counter-otc-nonprescription-drugs/over-counter-otc-drug-review-otc-monograph-reform-cares-act#omor, and in the March 26 notice.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

Find out more and explore further thought leadership around Food, Drugs, Healthcare, Life Sciences

Mondaq uses cookies on this website. By using our website you agree to our use of cookies as set out in our Privacy Policy.

Learn More