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Product Positioning in Nutrition and Health &
    Wellness: Bringing your Supplements, Medical
     Foods and Pharmaceutical Drugs to Market
          Presentation and Conference Call
                  Tuesday, May 24th, 2011 11am-12pm (PST)
                                  Agenda
Introduction                          Mike Dovbish, NCN
                                      Grant Ferrier, NCN
                                      Steve Allen, NCN
Legal Perspective                     Todd Harrison, Venable LLP
Q&A                                   Todd Harrison and Audience
Conclusions and Upcoming Events       Mike Dovbish, NCN
Purpose of Presentation

• Introduce Nutrition Capital Network (NCN):
  Create context for upcoming events
• Discussion on product positioning for
  Supplements, Medical Foods and
  Pharmaceutical Drugs




           May 24, 2011                 2
Nutrition Capital Network Mission
• The mission of Nutrition Capital Network (NCN) is to:
   – facilitate the financing and partnering process for small and medium-sized
     companies
   – introduce investors to the next generation of successful brands and
     technologies in the nutrition, health & wellness, natural/organic and green
     product industries.
   – facilitating capital flow for the betterment of business and society at large.

• NCN accomplishes this mission by:
   – creating a series of events and virtual tools to connect companies and
     investors
       • Conference Calls
            – Q1 “Building a Winning Team: Tips on Hiring and Team Building for
              the Entrepreneur”
            – Q2 "Product Positioning in Nutrition and Health & Wellness: Bringing
              your Supplements, Medical Foods and Pharmaceutical Drugs to
              Market”

                      May 24, 2011                                           3
NCN‟s Focus
   Companies in the nutrition and health &
   wellness industry across the value chain
   including the following sectors:
Dietary Supplements: VMS, Ingredients, Medical Foods,
H&B, Sports, LMRs         Technology for OTC/Pharma
Natural & Organic Foods       H&W Enabling Technology
Functional Foods              Health & Fitness; Green Products
Healthy Foods, BFY Foods      N&O Personal Care, Cosmetics
Weight Loss                   Household and Pet Products


               May 24, 2011                            4
Sponsors
   Law Firm Partner              NCN Investor Meetings are presented in
                                 association with
                                Investment Banking Partner


Branding & Strategy Partner

                                    Executive Search Partner

 Government Trade Partner



                 May 24, 2011                                  5
NCN 2011 Cornerstone Investors




      May 24, 2011               6
NCN Historical Summary
43 of 89: 48% thru NCN 4; 66 of 180: 37% thru NCN 6
      NCN          Apps/Eval. Pool   Selected   Secured Funding
        I                    98        24             12
       II                    84        22             13
       III                   78        22             8
       IV                    80        21             10
 SSW Ing/Tech I              35        10             3
       V                     78        20             5
       VI                    85        19             6
 SSW Ing/Tech II             35         8             2
       VII                   90        21             4


                   May 24, 2011                        7
NCN Deal Flow Summary
Apparel and textiles                  3       <1%
Functional Beverages                 87       12%
Functional Foods                     63        9%
Ingredients                         129       18%
Medical Foods                         6        1%
Natural & Organic Foods             162       22%
Natural Personal Care & Household    82       11%
Packaging                             5        1%
Retail & Service                     50        7%
Supplements                         117       16%
Technology                           32        4%
Total                               736       100%

                   May 24, 2011           8
NCN 2011 Calendar
NCN Seminar at Expo East - Baltimore
•   September 21-24, 2011

NCN at Supply Side West: Las Vegas
•   October 11, 2011: 8-10 Companies

http://www.nutritioncapital.com/NCN_at_SupplySide
    _October_2010

NCN IX Fall Meeting, Los Angeles
• November 14-15, 2011: 20-22 Companies
http://www.nutritioncapital.com/NCN_IX_Fall_2011
NCN X Spring East Coast Meeting
•   May 2012: 20-22 Companies



                       May 24, 2011                 9
Nutrition Capital Network Selection
                 Criteria
NCN and members of our screening committee use the following basic
  criteria to evaluate potential presenting companies, and believes that
  similar criteria would be used by any experienced investor to screen
  business ventures.

Novelty and Unique Position
• A demonstrated point of differentiation
• New company or concept for investors; not „shopped around‟ too much
• Potential for leadership in a defined sub-segment, channel or niche of
  some size




                     May 24, 2011                                   10
Nutrition Capital Network Selection
             Criteria (cont’d)
Insulation
• Protectability of product or service or technology; defense
  against copycats
• Intellectual property: trademarks and patents

Economic Potential
• Size and growth rate
• Scalability; potential for economies of scale
• Profitability; Demonstrated gross margins
• Exit potential: A variety of interested parties



                  May 24, 2011                           11
Nutrition Capital Network Selection
             Criteria (cont’d)
The Management Team
• Pertinent experience of executives: health & wellness, medical, startups,
  CPG companies, a specific distribution channel and/or marketing &
  sales
• Demonstrated track record in early stage or returning capital
• Surrounding team: investors, partners, marketing & distribution
  alliances, legal team
• Star power and charisma; name recognition

Tangibles
• Good branding or brand name, good quality & taste, unique packaging
  or presentation

Intangibles
• The "WOW" factor; head turning potential

                    May 24, 2011                                   12
NCN Results

• Evaluated 832 companies since Oct. 2007
• Selected 200 companies to present at 11
  NCN events – 8 dedicated meetings and 3
  smaller satellite events
• 41% of companies (61/150) that presented
  up to NCN 6 in April 2010 had received
  funding or completed a transaction as of
  April 2011
           May 24, 2011              13
U.S. Condition-Specific Supplement, OTC,
     Rx Sales & Growth in 2009 ($bil)
                              Supplement    Supplement     OTC            OTC             Rx          Rx
Condition                        Sales        Growth       Sales         Growth          Sales      Growth
General Health                     $4,340           4%         n/a              n/a           n/a       n/a
Cold/Flu/Immune                    $1,940           6%     $5,770               2%        $8,220       16%
Sports/Energy/Weight Loss          $7,070           3%       $560             -12%          $150      -11%
Brain Health/Mental Acuity           $510          10%         n/a              n/a       $3,970       17%
Insomnia                             $260          12%       $330               4%        $2,100       -3%
Mood/Depression                      $430          11%         n/a              n/a      $26,630        1%
Menopause                            $400           4%       $120               0%        $2,210        5%
Heart Health                       $1,880           8%       $470               2%       $18,910        4%
Joint Health                       $1,600           0%       $520              -4%       $11,230       14%
Sexual Health                        $480          -1%        $90              15%        $1,960       12%
Bone Health                        $1,670           8%         n/a              n/a       $4,440      -11%
Gastrointestinal Health            $1,090          11%     $4,520               1%       $13,640       -1%
Diabetes                             $970           3%         n/a              n/a      $14,780       17%
Vision Health                        $340           6%       $540               3%        $5,730       13%
Hair/Skin/Nails                      $520          10%     $2,830               0%        $2,430       37%
Anti-Cancer                        $1,220           0%       $980               3%        $8,010        9%
Anti-Aging                           $300           3%         n/a              n/a           n/a       n/a
Sum of 17 Conditions              $25,000           5%    $16,740               1%      $124,430        7%
Others                             $1,880          30%     $1,800               2%      $175,870        4%
Total                             $26,880           6%    $18,540               1%      $300,300        5%


                             May 24, 2011                Source: Nutrition Business Journal      14
Todd Harrison
Todd A. Harrison, Partner: Washington, DC Office. T 202.344.4724 F 202.344.8300
taharrison@Venable.com

AREAS OF PRACTICE
•   Advertising and Marketing
•   Advertising and Marketing Litigation
•   Regulatory
INDUSTRIES
•   Consumer Products and Services
•   Drugs, Medical Devices and Biologics
•   Dietary Supplements, Cosmetics and Functional Foods
BAR ADMISSIONS
•   District of Columbia
•   Maryland
EDUCATION
•   J.D., highest honor, University of Tulsa College of Law, 1993
•   Order of the Curule Chair
•   B.S., magna cum laude, University of Houston-Clear Lake, 1989


                              May 24, 2011                                    15
Todd Harrison
Todd Harrison focuses his practice on Federal Food and Drug Administration (FDA), United States
   Department of Agriculture‟s Food Safety and Inspection Service (FSIS)/Animal and Plant Health
   Inspection Service (APHIS)/Agricultural Marketing Service (AMS), Federal Trade Commission (FTC), and
   the Drug Enforcement Administration (DEA), as well as other federal, state, and international consumer
   protection agencies governing rules and regulations related to drugs, foods, dietary supplements,
   homeopathic remedies, medical devices, medical foods and cosmetics. Mr. Harrison works extensively in
   the areas of food and dietary supplement safety, labeling and advertising claims. He drafts opinion letters
   regarding the status of food ingredients in the United States and assisted in the preparation of food
   additive petitions, GRAS notifications, and new dietary ingredient notifications. He also assists companies
   in developing self-determined GRAS position for food ingredients.

Mr. Harrison advises clients on issues related to FDA and FSIS‟s labeling requirements a well as on organic
    products and genetically modified organisms. Additionally, he advises clients on international food issues.

Mr. Harrison has assisted companies on important FDA, FSIS, APHIS compliance issues, including HAACP,
    good manufacturing practice, product recalls vs. market withdrawals, inspections, warning letters,
    complying with FDA‟s and FSIS‟s standards of identities, importing meat and poultry products into the
    United States, warning letters, and record keeping.

Mr. Harrison has been involved extensively on issues related to the marketing of foods and dietary
    supplements, including health claims, qualified health claims, structure/function claims, and nutrient
    content claims. He has developed strategies for companies to communicate information about their
    products without running afoul of FDA, FSIS and FTC regulatory requirements. He also has a successful
    track record of defending against U.S. FTC advertising complaints, enforcement actions and
    prosecutions, and defending against competitor challenges in court and other forums.


                               May 24, 2011                                                        16
Todd Harrison
PUBLICATIONS
•   December 2010, Congress Passes S. 3386 Restore Online Shoppers‟ Confidence Act, Client Alerts
•   September 2007, A Guide to the New Dietary Supplement GMPs: Reviewing the details, nuances and
    potential impact of the new rule
•   April 2007, Consumer Products Regulatory Report, Q1 2007
•   July 2006, Consumer Products Regulatory Report, July 2006
•   June 24, 2006, Pet Supplements Primer, Nutraceuticals World
•   April 24, 2006, Revisiting Medical Foods, Nutraceuticals World
•   March 2006, Consumer Products Regulatory Report, March 2006
•   February 24, 2006, Food Allergy Labeling is Here!, Nutraceuticals World

SPEAKING ENGAGEMENTS
Mr. Harrison is a frequent speaker on regulatory law as it relates to foods, dietary supplements
    and functional foods.
•   May 24, 2011, "Bringing your Supplements, Medical Foods and Pharmaceutical Drugs to Market" for the
    Nutrition Capital Network (NCN)
•   May 3, 2011 - May 5, 2011, Response Expo 2011
•   March 31, 2011 - April 1, 2011, ACI's Food & Beverage Marketing & Advertising Conference
•   March 12, 2011, Natural Products Expo West 2011
•   February 28, 2011 - March 2, 2011, ERA's Great Ideas Summit
•   July 21, 2010, "State of the Industry" at the Nutritional Business Journal Summit 2010


                             May 24, 2011                                                    17
Key Definitions



   Key Definitions




May 24, 2011            18
Definition of a Medical Food

• A Medical Food is defined as a food
   – formulated to be consumed or administered enterally under the
     supervision of a physician,
   – that is intended for the specific dietary management of a
     disease or condition,
   – for which distinctive nutritional requirements, based on
     recognized scientific principles, have been established by
     medical evaluation
• Narrowly construed
   – FDA warning letters have indicated that allergies, arthritis,
     asthma, cardiovascular disease, fibromyalgia, chronic fatigue
     syndrome, failure to thrive, prenatal vitamins, autoimmune
     disorders and diabetes are not conditions with distinctive
     nutritional requirements

               May 24, 2011                                  19
Definition of a Dietary Supplement

• A Dietary Supplement is defined as a product
   – that is intended to supplement the diet, which contains one or
     more of the following dietary ingredients: a vitamin, a mineral,
     an herb or other botanical, an amino acid, a dietary substance
     to supplement the diet by increasing the total daily intake, or a
     concentrate, metabolite, constituent, extract, or combination of
     these ingredients.
   – ingested in pill, capsule, tablet, or liquid form.
   – not represented for use as a conventional food or as the sole
     item of a meal or diet.




               May 24, 2011                                     20
Key Requirements for Medical Foods



Key Requirements for Medical Foods




        May 24, 2011              21
Specifically Formulated and Processed


 • A medical food is specifically formulated and processed
   (as opposed to a naturally-occurring food used in its
   natural state) for the partial or exclusive feeding of a
   patient by oral intake or tube.




             May 24, 2011                           22
Dietary Management of a Patient

• Medical food is intended for the dietary management of
  a patient who has
   – limited or impaired capacity to ingest, digest, absorb, or
     metabolize ordinary foodstuffs or certain nutrients because of
     therapeutic or chronic medical needs, or
   – other special medically-determined nutrient requirements that
     cannot be addressed through modification of the normal diet
     alone
        Ganeden Biotech 2006 Warning Letter – Psoriasis, chronic
          constipation, arthritis, Crohn‟s Disease and Colitis, and IBS
          do not have distinct nutrient requirements




               May 24, 2011                                     23
Unique Nutritional Requirements

• Medical foods provide nutritional support specifically modified for
  the management of the unique nutrient needs that result from a
  specific disease or condition, as determined by medical evaluation
   – Bioenergy Corvalen Warning Letter 2010 – No distinctive
      nutrient need for patients with fibromyalgia, chronic fatigue
      syndrome, or cardiovascular disease
   – Nestle‟s Boost Kid Essential Warning Letter 2009 – No
      distinctive nutrient need for the medical condition “failure to
      thrive”
   – Efficas Warning Letter 2007 – No distinctive nutrient need for
      individuals suffering from allergies or asthma
   – Metagenics Warning Letter 2003 – No distinctive nutrient
      requirements for type 2 diabetes, arthritis, psoriasis, eczema,
      chronic fatigue, and migraine headaches.


                May 24, 2011                                  24
Medical Supervision

• It is intended for use under medical supervision
• Medical foods are intended only for patients receiving
  active and ongoing medical supervision, wherein the
  patient requires medical care on a recurring basis for,
  among other things, instructions on the use of the
  medical food




             May 24, 2011                            25
Path to Market for Medical Foods



Path to Market for Medical Foods




       May 24, 2011                 26
Barrier to Entry is Moderate

• Does not require FDA approval, but
   – FDA views this category as being very narrow
   – FDA will require all ingredients to be GRAS-E
   – The minimum efficacy requirement is the Significant
     Scientific Agreement (SSA) standard
   – Distribution Channels are limited
   – Importing, without prior, consultation with FDA, is
     done at the company‟s own peril
   – FDA may not believe a pill is an appropriate delivery
     vehicle.



             May 24, 2011                           27
Unique Nutritional Need Requirement

• Scientific dossier must be developed to demonstrate
  that a specific disease or medical condition has unique
  nutritional needs that cannot be otherwise met through
  simple modification to the diet.
   – The nutritional need requirement will require at a
     minimum Significant Scientific Agreement.
        It is insufficient to state the product works
          nutritionally if the scientific literature does not
          show that the nutrients you are providing are
          necessary.
           – Cannot use the Medical Food category to
              circumvent the New Drug Approval process

                May 24, 2011                             28
Safety

• Medical foods, like “conventional” food products, must
  contain only ingredients that are either GRAS for use in
  food or approved as food additives by FDA.
   – The ingredients must be generally recognized,
     among qualified experts, as having been adequately
     shown to be safe under the conditions of intended
     use.
       May require at least one safety study in the
        intended patient population.




             May 24, 2011                              29
Medical Food - Effectiveness

• At a minimum, FDA would require Significant Scientific Agreement
  to establish the effectiveness of a medical food.
   – In an advanced notice of proposed rulemaking (withdrawn),
      FDA indicated that the scientific evidence is likely somewhere
      between the SSA standard and the standard for a new drug
      approval.
   – The FDA has indicated its position on this issue by stating, “it is
      essential that the claims made for such a product present an
      accurate interpretation of the scientific evidence concerning the
      usefulness of that product or specific formulation…, [and]…a
      strong standard of substantiation would be one that requires
      that all pertinent data be considered in the formulation of the
      product and in the development of any claims about its use.”
      FDA Advanced Notice of Proposed Rulemaking, 61 Fed. Reg.
      60661, 60669-70 (Nov. 29, 1996).

                May 24, 2011                                     30
Marketing Claims

• Medical Foods can be marketed with claims related to
  the dietary management of a disease.
   – This product is intended for the dietary management
     of individuals with Type 2 diabetes




             May 24, 2011                         31
Marketing Channel

• The Orphan Drug Act does not restrict the marketing channel that
  Medical Foods may be marketed.
   – FDA takes a limited view of the marketing channel
       Hospitals, pharmacies (behind the counter), and physician
         offices, etc.
       FDA does not believe that the products should be mass
         marketed
           – Are Glucerna and Boost Glucose Control medical
              foods, foods for special dietary use, or hybrids?
                 Labeled to be taken under the supervision of a
                  medical practitioner
                 Mass marketed
                 Dietary uniqueness


               May 24, 2011                                 32
Examples of Medical Foods Presently
             Marketed
• Axona® - A prescription medical food that is marketed
  for the dietary management of Alzheimer‟s.
• GlycemX™ 360 – A medical food that is marketed for
  the dietary management of diabetes.
• VSL#3® - A probiotic medical food marketed for the
  treatment of IBS, ulcerative colitis, etc.
• Limbrel®500 – A medical food marketed for the
  treatment of osteoarthritis.



             May 24, 2011                         33
Dietary Supplement Core Concepts



Dietary Supplement Core Concepts




        May 24, 2011            34
SAFETY

• Under DSHEA, a supplement or dietary ingredient is
  unsafe if:
   – It presents a significant or unreasonable risk of
     illness or injury, under the conditions of use
     recommended or suggested in labeling, or under
     ordinary conditions of use, or
   – It is a new dietary ingredient for which there is
     inadequate information to provide assurance that it
     does not present a significant or unreasonable risk
     of illness or injury.



             May 24, 2011                           35
New Dietary Ingredients

• A “new dietary ingredient” is an ingredient that was not
  marketed in the United States before October 15, 1994,
  and does not include any dietary ingredient which was
  marketed in the United States before October 15, 1994.




             May 24, 2011                           36
New Dietary Ingredients

• Questions & Answers About New Dietary Ingredients:
Q1: What if I know that an ingredient was marketed before
  October 15, 1994, but do not have evidence? Must I
  submit an NDI notification?
Q2: My ingredient is an extract of a food that was present
  in the food supply before October 15, 1994. Do I need
  to submit an NDI notification?
Q3: My ingredient was a component of food in the food
  supply in chemically altered form. Do I need a NDI
  notification?
             May 24, 2011                            37
Dietary Supplement Claims

• Health Claims
• Qualified Health Claims
• Nutrient Content Claims
• Structure / Function Claims




             May 24, 2011          38
Dietary Supplement Claims:
                 30-Day Notification
• No more than thirty (30) days after a supplement bearing a
  structure/function claim is marketed, the manufacturer, packer,
  or distributor of the supplement must notify the FDA Office of
  Nutritional Products, Labeling and Dietary Supplements.




                   May 24, 2011                           39
Dietary Supplement Claims:
                 Disclaimer
• The FD&C Act requires the following disclaimer to appear in
  connection with a structure/function claim:
“This/these claim(s) has/have not been evaluated by the Food and
   Drug Administration. This product is not intended to diagnose,
   treat, cure or prevent any disease.”
Statement must also…
   Be at least 6 point font size,
   Be bold,
   Be entirely enclosed inside a box,
   Be listed by itself preferably on the same panel as claim or include a
   link to the claim.



                 May 24, 2011                                        40
Dietary Supplement Claims:
                Substantiation
• In considering the number and type of studies required to
  substantiate a claim, advertisers should consider:
   1. The meaning(s) of the claims being made, express
      and implied;
   2. The relationship of the evidence to the claim;
   3. The quality of the evidence; and
   4. The totality of the evidence.
   5. Accepted norms in the relevant research field.



               May 24, 2011                            41
Drug, Medical Food, or Dietary Supplement:
   The Pros and Cons of Each Approach



    Drug, Medical Food, or Dietary
             Supplement:
 The Pros and Cons of Each Approach



           May 24, 2011              42
Drug, Medical Food, or Dietary Supplement:
   The Pros and Cons of Each Approach
        GRAS
                                          Medical Food
                                                                                Food Additive
                                                   Dietary
                                                   Management of a
                                                   Disease
 Intended to become
 component of or affect
 characteristics of food                                                Intended to become
                                                Your                    component of or affect
                                               Product                  characteristics of food

                             Intended to                 Intended to
                             supplement diet        diagnose, cure,
                                                    mitigate or treat
                                                             disease
     Dietary Supplement
                                                                             Drug


                           May 24, 2011                                               43
Drug Pros

• Pros of marketing drugs that have gone through FDA‟s
  approval process
   – Make express disease claims
   – Exclusivity during initial marketing phase regardless
     of patent consideration
   – Higher Price Point
   – Prescription drugs covered by insurance plans




             May 24, 2011                            44
Drug Cons

• Cons of marketing drugs that have gone through FDA‟s
  approval process
   – Extensive amount of R&D time
   – Drug approval process takes years
   – Costs will most likely be in the tens of millions, if not
     higher
   – No guarantee of approval
   – Significant regulatory oversight




              May 24, 2011                              45
Medical Foods Pros

• Pros of marketing a product as a medical food
   – Lower barrier to market entry
   – FDA premarket approval not required
   – Express disease management claims
   – Less costly to manufacture
   – Less regulatory oversight
   – FDA objects may be able to rebrand as a dietary
     supplement or conventional food with appropriate
     structure/function claims




             May 24, 2011                         46
Medical Foods Cons

• Cons of marketing a product as a medical food
   – Extensive amount of R&D time
   – Requires at least Significant Scientific Agreement
   – Clinical studies are costly
   – Category narrowly construed
   – Limited marketing channels
   – Lower barrier of entry
   – FDA may disagree that the product is appropriately
     marketed as a medical food




             May 24, 2011                          47
Dietary Supplement Pros

• Pros of marketing an ingredient as a food or dietary
  supplement
   – Lowest barrier to market entry
   – No FDA premarket approval required – NDI is a
     notification, not an approval process – Interesting
     issue whether FDA can deny a notification
   – No restrictions on marketing channels
   – U.S. consumers understand the implied meaning of
     structure/function claims
   – Less costly to manufacture
   – Less regulatory oversight

             May 24, 2011                          48
Dietary Supplement Cons

• Cons of marketing an ingredient as a food or dietary
  supplement
   – Limited to structure/function claims or FDA-permitted
     health claims
   – Generally not covered by insurance
   – Generally no barriers to entry by competitors




             May 24, 2011                           49
Q&A

At this point, Steve Allen will kick-off Q&A
  followed by the conference call moderator
  to give instructions to the audience for
  Q&A.




           May 24, 2011                  50
NCN 2011 Calendar
NCN Seminar at Expo East - Baltimore
•   September 21-24, 2011

NCN at Supply Side West: Las Vegas
•   October 11, 2011: 8-10 Companies

http://www.nutritioncapital.com/NCN_at_SupplySide
    _October_2010

NCN IX Fall Meeting, Los Angeles
• November 14-15, 2011: 20-22 Companies
http://www.nutritioncapital.com/NCN_IX_Fall_2011
NCN X Spring East Coast Meeting
•   May 2012: 20-22 Companies



                       May 24, 2011                 51
THANKS FOR JOINING US

We Look Forward To Seeing You at
Supplyside West and NCN IX!

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Bringing Your Supplements, Medical Foods and Pharmaceutical Drugs to Market

  • 1. Product Positioning in Nutrition and Health & Wellness: Bringing your Supplements, Medical Foods and Pharmaceutical Drugs to Market Presentation and Conference Call Tuesday, May 24th, 2011 11am-12pm (PST) Agenda Introduction Mike Dovbish, NCN Grant Ferrier, NCN Steve Allen, NCN Legal Perspective Todd Harrison, Venable LLP Q&A Todd Harrison and Audience Conclusions and Upcoming Events Mike Dovbish, NCN
  • 2. Purpose of Presentation • Introduce Nutrition Capital Network (NCN): Create context for upcoming events • Discussion on product positioning for Supplements, Medical Foods and Pharmaceutical Drugs May 24, 2011 2
  • 3. Nutrition Capital Network Mission • The mission of Nutrition Capital Network (NCN) is to: – facilitate the financing and partnering process for small and medium-sized companies – introduce investors to the next generation of successful brands and technologies in the nutrition, health & wellness, natural/organic and green product industries. – facilitating capital flow for the betterment of business and society at large. • NCN accomplishes this mission by: – creating a series of events and virtual tools to connect companies and investors • Conference Calls – Q1 “Building a Winning Team: Tips on Hiring and Team Building for the Entrepreneur” – Q2 "Product Positioning in Nutrition and Health & Wellness: Bringing your Supplements, Medical Foods and Pharmaceutical Drugs to Market” May 24, 2011 3
  • 4. NCN‟s Focus Companies in the nutrition and health & wellness industry across the value chain including the following sectors: Dietary Supplements: VMS, Ingredients, Medical Foods, H&B, Sports, LMRs Technology for OTC/Pharma Natural & Organic Foods H&W Enabling Technology Functional Foods Health & Fitness; Green Products Healthy Foods, BFY Foods N&O Personal Care, Cosmetics Weight Loss Household and Pet Products May 24, 2011 4
  • 5. Sponsors Law Firm Partner NCN Investor Meetings are presented in association with Investment Banking Partner Branding & Strategy Partner Executive Search Partner Government Trade Partner May 24, 2011 5
  • 6. NCN 2011 Cornerstone Investors May 24, 2011 6
  • 7. NCN Historical Summary 43 of 89: 48% thru NCN 4; 66 of 180: 37% thru NCN 6 NCN Apps/Eval. Pool Selected Secured Funding I 98 24 12 II 84 22 13 III 78 22 8 IV 80 21 10 SSW Ing/Tech I 35 10 3 V 78 20 5 VI 85 19 6 SSW Ing/Tech II 35 8 2 VII 90 21 4 May 24, 2011 7
  • 8. NCN Deal Flow Summary Apparel and textiles 3 <1% Functional Beverages 87 12% Functional Foods 63 9% Ingredients 129 18% Medical Foods 6 1% Natural & Organic Foods 162 22% Natural Personal Care & Household 82 11% Packaging 5 1% Retail & Service 50 7% Supplements 117 16% Technology 32 4% Total 736 100% May 24, 2011 8
  • 9. NCN 2011 Calendar NCN Seminar at Expo East - Baltimore • September 21-24, 2011 NCN at Supply Side West: Las Vegas • October 11, 2011: 8-10 Companies http://www.nutritioncapital.com/NCN_at_SupplySide _October_2010 NCN IX Fall Meeting, Los Angeles • November 14-15, 2011: 20-22 Companies http://www.nutritioncapital.com/NCN_IX_Fall_2011 NCN X Spring East Coast Meeting • May 2012: 20-22 Companies May 24, 2011 9
  • 10. Nutrition Capital Network Selection Criteria NCN and members of our screening committee use the following basic criteria to evaluate potential presenting companies, and believes that similar criteria would be used by any experienced investor to screen business ventures. Novelty and Unique Position • A demonstrated point of differentiation • New company or concept for investors; not „shopped around‟ too much • Potential for leadership in a defined sub-segment, channel or niche of some size May 24, 2011 10
  • 11. Nutrition Capital Network Selection Criteria (cont’d) Insulation • Protectability of product or service or technology; defense against copycats • Intellectual property: trademarks and patents Economic Potential • Size and growth rate • Scalability; potential for economies of scale • Profitability; Demonstrated gross margins • Exit potential: A variety of interested parties May 24, 2011 11
  • 12. Nutrition Capital Network Selection Criteria (cont’d) The Management Team • Pertinent experience of executives: health & wellness, medical, startups, CPG companies, a specific distribution channel and/or marketing & sales • Demonstrated track record in early stage or returning capital • Surrounding team: investors, partners, marketing & distribution alliances, legal team • Star power and charisma; name recognition Tangibles • Good branding or brand name, good quality & taste, unique packaging or presentation Intangibles • The "WOW" factor; head turning potential May 24, 2011 12
  • 13. NCN Results • Evaluated 832 companies since Oct. 2007 • Selected 200 companies to present at 11 NCN events – 8 dedicated meetings and 3 smaller satellite events • 41% of companies (61/150) that presented up to NCN 6 in April 2010 had received funding or completed a transaction as of April 2011 May 24, 2011 13
  • 14. U.S. Condition-Specific Supplement, OTC, Rx Sales & Growth in 2009 ($bil) Supplement Supplement OTC OTC Rx Rx Condition Sales Growth Sales Growth Sales Growth General Health $4,340 4% n/a n/a n/a n/a Cold/Flu/Immune $1,940 6% $5,770 2% $8,220 16% Sports/Energy/Weight Loss $7,070 3% $560 -12% $150 -11% Brain Health/Mental Acuity $510 10% n/a n/a $3,970 17% Insomnia $260 12% $330 4% $2,100 -3% Mood/Depression $430 11% n/a n/a $26,630 1% Menopause $400 4% $120 0% $2,210 5% Heart Health $1,880 8% $470 2% $18,910 4% Joint Health $1,600 0% $520 -4% $11,230 14% Sexual Health $480 -1% $90 15% $1,960 12% Bone Health $1,670 8% n/a n/a $4,440 -11% Gastrointestinal Health $1,090 11% $4,520 1% $13,640 -1% Diabetes $970 3% n/a n/a $14,780 17% Vision Health $340 6% $540 3% $5,730 13% Hair/Skin/Nails $520 10% $2,830 0% $2,430 37% Anti-Cancer $1,220 0% $980 3% $8,010 9% Anti-Aging $300 3% n/a n/a n/a n/a Sum of 17 Conditions $25,000 5% $16,740 1% $124,430 7% Others $1,880 30% $1,800 2% $175,870 4% Total $26,880 6% $18,540 1% $300,300 5% May 24, 2011 Source: Nutrition Business Journal 14
  • 15. Todd Harrison Todd A. Harrison, Partner: Washington, DC Office. T 202.344.4724 F 202.344.8300 taharrison@Venable.com AREAS OF PRACTICE • Advertising and Marketing • Advertising and Marketing Litigation • Regulatory INDUSTRIES • Consumer Products and Services • Drugs, Medical Devices and Biologics • Dietary Supplements, Cosmetics and Functional Foods BAR ADMISSIONS • District of Columbia • Maryland EDUCATION • J.D., highest honor, University of Tulsa College of Law, 1993 • Order of the Curule Chair • B.S., magna cum laude, University of Houston-Clear Lake, 1989 May 24, 2011 15
  • 16. Todd Harrison Todd Harrison focuses his practice on Federal Food and Drug Administration (FDA), United States Department of Agriculture‟s Food Safety and Inspection Service (FSIS)/Animal and Plant Health Inspection Service (APHIS)/Agricultural Marketing Service (AMS), Federal Trade Commission (FTC), and the Drug Enforcement Administration (DEA), as well as other federal, state, and international consumer protection agencies governing rules and regulations related to drugs, foods, dietary supplements, homeopathic remedies, medical devices, medical foods and cosmetics. Mr. Harrison works extensively in the areas of food and dietary supplement safety, labeling and advertising claims. He drafts opinion letters regarding the status of food ingredients in the United States and assisted in the preparation of food additive petitions, GRAS notifications, and new dietary ingredient notifications. He also assists companies in developing self-determined GRAS position for food ingredients. Mr. Harrison advises clients on issues related to FDA and FSIS‟s labeling requirements a well as on organic products and genetically modified organisms. Additionally, he advises clients on international food issues. Mr. Harrison has assisted companies on important FDA, FSIS, APHIS compliance issues, including HAACP, good manufacturing practice, product recalls vs. market withdrawals, inspections, warning letters, complying with FDA‟s and FSIS‟s standards of identities, importing meat and poultry products into the United States, warning letters, and record keeping. Mr. Harrison has been involved extensively on issues related to the marketing of foods and dietary supplements, including health claims, qualified health claims, structure/function claims, and nutrient content claims. He has developed strategies for companies to communicate information about their products without running afoul of FDA, FSIS and FTC regulatory requirements. He also has a successful track record of defending against U.S. FTC advertising complaints, enforcement actions and prosecutions, and defending against competitor challenges in court and other forums. May 24, 2011 16
  • 17. Todd Harrison PUBLICATIONS • December 2010, Congress Passes S. 3386 Restore Online Shoppers‟ Confidence Act, Client Alerts • September 2007, A Guide to the New Dietary Supplement GMPs: Reviewing the details, nuances and potential impact of the new rule • April 2007, Consumer Products Regulatory Report, Q1 2007 • July 2006, Consumer Products Regulatory Report, July 2006 • June 24, 2006, Pet Supplements Primer, Nutraceuticals World • April 24, 2006, Revisiting Medical Foods, Nutraceuticals World • March 2006, Consumer Products Regulatory Report, March 2006 • February 24, 2006, Food Allergy Labeling is Here!, Nutraceuticals World SPEAKING ENGAGEMENTS Mr. Harrison is a frequent speaker on regulatory law as it relates to foods, dietary supplements and functional foods. • May 24, 2011, "Bringing your Supplements, Medical Foods and Pharmaceutical Drugs to Market" for the Nutrition Capital Network (NCN) • May 3, 2011 - May 5, 2011, Response Expo 2011 • March 31, 2011 - April 1, 2011, ACI's Food & Beverage Marketing & Advertising Conference • March 12, 2011, Natural Products Expo West 2011 • February 28, 2011 - March 2, 2011, ERA's Great Ideas Summit • July 21, 2010, "State of the Industry" at the Nutritional Business Journal Summit 2010 May 24, 2011 17
  • 18. Key Definitions Key Definitions May 24, 2011 18
  • 19. Definition of a Medical Food • A Medical Food is defined as a food – formulated to be consumed or administered enterally under the supervision of a physician, – that is intended for the specific dietary management of a disease or condition, – for which distinctive nutritional requirements, based on recognized scientific principles, have been established by medical evaluation • Narrowly construed – FDA warning letters have indicated that allergies, arthritis, asthma, cardiovascular disease, fibromyalgia, chronic fatigue syndrome, failure to thrive, prenatal vitamins, autoimmune disorders and diabetes are not conditions with distinctive nutritional requirements May 24, 2011 19
  • 20. Definition of a Dietary Supplement • A Dietary Supplement is defined as a product – that is intended to supplement the diet, which contains one or more of the following dietary ingredients: a vitamin, a mineral, an herb or other botanical, an amino acid, a dietary substance to supplement the diet by increasing the total daily intake, or a concentrate, metabolite, constituent, extract, or combination of these ingredients. – ingested in pill, capsule, tablet, or liquid form. – not represented for use as a conventional food or as the sole item of a meal or diet. May 24, 2011 20
  • 21. Key Requirements for Medical Foods Key Requirements for Medical Foods May 24, 2011 21
  • 22. Specifically Formulated and Processed • A medical food is specifically formulated and processed (as opposed to a naturally-occurring food used in its natural state) for the partial or exclusive feeding of a patient by oral intake or tube. May 24, 2011 22
  • 23. Dietary Management of a Patient • Medical food is intended for the dietary management of a patient who has – limited or impaired capacity to ingest, digest, absorb, or metabolize ordinary foodstuffs or certain nutrients because of therapeutic or chronic medical needs, or – other special medically-determined nutrient requirements that cannot be addressed through modification of the normal diet alone  Ganeden Biotech 2006 Warning Letter – Psoriasis, chronic constipation, arthritis, Crohn‟s Disease and Colitis, and IBS do not have distinct nutrient requirements May 24, 2011 23
  • 24. Unique Nutritional Requirements • Medical foods provide nutritional support specifically modified for the management of the unique nutrient needs that result from a specific disease or condition, as determined by medical evaluation – Bioenergy Corvalen Warning Letter 2010 – No distinctive nutrient need for patients with fibromyalgia, chronic fatigue syndrome, or cardiovascular disease – Nestle‟s Boost Kid Essential Warning Letter 2009 – No distinctive nutrient need for the medical condition “failure to thrive” – Efficas Warning Letter 2007 – No distinctive nutrient need for individuals suffering from allergies or asthma – Metagenics Warning Letter 2003 – No distinctive nutrient requirements for type 2 diabetes, arthritis, psoriasis, eczema, chronic fatigue, and migraine headaches. May 24, 2011 24
  • 25. Medical Supervision • It is intended for use under medical supervision • Medical foods are intended only for patients receiving active and ongoing medical supervision, wherein the patient requires medical care on a recurring basis for, among other things, instructions on the use of the medical food May 24, 2011 25
  • 26. Path to Market for Medical Foods Path to Market for Medical Foods May 24, 2011 26
  • 27. Barrier to Entry is Moderate • Does not require FDA approval, but – FDA views this category as being very narrow – FDA will require all ingredients to be GRAS-E – The minimum efficacy requirement is the Significant Scientific Agreement (SSA) standard – Distribution Channels are limited – Importing, without prior, consultation with FDA, is done at the company‟s own peril – FDA may not believe a pill is an appropriate delivery vehicle. May 24, 2011 27
  • 28. Unique Nutritional Need Requirement • Scientific dossier must be developed to demonstrate that a specific disease or medical condition has unique nutritional needs that cannot be otherwise met through simple modification to the diet. – The nutritional need requirement will require at a minimum Significant Scientific Agreement.  It is insufficient to state the product works nutritionally if the scientific literature does not show that the nutrients you are providing are necessary. – Cannot use the Medical Food category to circumvent the New Drug Approval process May 24, 2011 28
  • 29. Safety • Medical foods, like “conventional” food products, must contain only ingredients that are either GRAS for use in food or approved as food additives by FDA. – The ingredients must be generally recognized, among qualified experts, as having been adequately shown to be safe under the conditions of intended use.  May require at least one safety study in the intended patient population. May 24, 2011 29
  • 30. Medical Food - Effectiveness • At a minimum, FDA would require Significant Scientific Agreement to establish the effectiveness of a medical food. – In an advanced notice of proposed rulemaking (withdrawn), FDA indicated that the scientific evidence is likely somewhere between the SSA standard and the standard for a new drug approval. – The FDA has indicated its position on this issue by stating, “it is essential that the claims made for such a product present an accurate interpretation of the scientific evidence concerning the usefulness of that product or specific formulation…, [and]…a strong standard of substantiation would be one that requires that all pertinent data be considered in the formulation of the product and in the development of any claims about its use.” FDA Advanced Notice of Proposed Rulemaking, 61 Fed. Reg. 60661, 60669-70 (Nov. 29, 1996). May 24, 2011 30
  • 31. Marketing Claims • Medical Foods can be marketed with claims related to the dietary management of a disease. – This product is intended for the dietary management of individuals with Type 2 diabetes May 24, 2011 31
  • 32. Marketing Channel • The Orphan Drug Act does not restrict the marketing channel that Medical Foods may be marketed. – FDA takes a limited view of the marketing channel  Hospitals, pharmacies (behind the counter), and physician offices, etc.  FDA does not believe that the products should be mass marketed – Are Glucerna and Boost Glucose Control medical foods, foods for special dietary use, or hybrids?  Labeled to be taken under the supervision of a medical practitioner  Mass marketed  Dietary uniqueness May 24, 2011 32
  • 33. Examples of Medical Foods Presently Marketed • Axona® - A prescription medical food that is marketed for the dietary management of Alzheimer‟s. • GlycemX™ 360 – A medical food that is marketed for the dietary management of diabetes. • VSL#3® - A probiotic medical food marketed for the treatment of IBS, ulcerative colitis, etc. • Limbrel®500 – A medical food marketed for the treatment of osteoarthritis. May 24, 2011 33
  • 34. Dietary Supplement Core Concepts Dietary Supplement Core Concepts May 24, 2011 34
  • 35. SAFETY • Under DSHEA, a supplement or dietary ingredient is unsafe if: – It presents a significant or unreasonable risk of illness or injury, under the conditions of use recommended or suggested in labeling, or under ordinary conditions of use, or – It is a new dietary ingredient for which there is inadequate information to provide assurance that it does not present a significant or unreasonable risk of illness or injury. May 24, 2011 35
  • 36. New Dietary Ingredients • A “new dietary ingredient” is an ingredient that was not marketed in the United States before October 15, 1994, and does not include any dietary ingredient which was marketed in the United States before October 15, 1994. May 24, 2011 36
  • 37. New Dietary Ingredients • Questions & Answers About New Dietary Ingredients: Q1: What if I know that an ingredient was marketed before October 15, 1994, but do not have evidence? Must I submit an NDI notification? Q2: My ingredient is an extract of a food that was present in the food supply before October 15, 1994. Do I need to submit an NDI notification? Q3: My ingredient was a component of food in the food supply in chemically altered form. Do I need a NDI notification? May 24, 2011 37
  • 38. Dietary Supplement Claims • Health Claims • Qualified Health Claims • Nutrient Content Claims • Structure / Function Claims May 24, 2011 38
  • 39. Dietary Supplement Claims: 30-Day Notification • No more than thirty (30) days after a supplement bearing a structure/function claim is marketed, the manufacturer, packer, or distributor of the supplement must notify the FDA Office of Nutritional Products, Labeling and Dietary Supplements. May 24, 2011 39
  • 40. Dietary Supplement Claims: Disclaimer • The FD&C Act requires the following disclaimer to appear in connection with a structure/function claim: “This/these claim(s) has/have not been evaluated by the Food and Drug Administration. This product is not intended to diagnose, treat, cure or prevent any disease.” Statement must also… Be at least 6 point font size, Be bold, Be entirely enclosed inside a box, Be listed by itself preferably on the same panel as claim or include a link to the claim. May 24, 2011 40
  • 41. Dietary Supplement Claims: Substantiation • In considering the number and type of studies required to substantiate a claim, advertisers should consider: 1. The meaning(s) of the claims being made, express and implied; 2. The relationship of the evidence to the claim; 3. The quality of the evidence; and 4. The totality of the evidence. 5. Accepted norms in the relevant research field. May 24, 2011 41
  • 42. Drug, Medical Food, or Dietary Supplement: The Pros and Cons of Each Approach Drug, Medical Food, or Dietary Supplement: The Pros and Cons of Each Approach May 24, 2011 42
  • 43. Drug, Medical Food, or Dietary Supplement: The Pros and Cons of Each Approach GRAS Medical Food Food Additive Dietary Management of a Disease Intended to become component of or affect characteristics of food Intended to become Your component of or affect Product characteristics of food Intended to Intended to supplement diet diagnose, cure, mitigate or treat disease Dietary Supplement Drug May 24, 2011 43
  • 44. Drug Pros • Pros of marketing drugs that have gone through FDA‟s approval process – Make express disease claims – Exclusivity during initial marketing phase regardless of patent consideration – Higher Price Point – Prescription drugs covered by insurance plans May 24, 2011 44
  • 45. Drug Cons • Cons of marketing drugs that have gone through FDA‟s approval process – Extensive amount of R&D time – Drug approval process takes years – Costs will most likely be in the tens of millions, if not higher – No guarantee of approval – Significant regulatory oversight May 24, 2011 45
  • 46. Medical Foods Pros • Pros of marketing a product as a medical food – Lower barrier to market entry – FDA premarket approval not required – Express disease management claims – Less costly to manufacture – Less regulatory oversight – FDA objects may be able to rebrand as a dietary supplement or conventional food with appropriate structure/function claims May 24, 2011 46
  • 47. Medical Foods Cons • Cons of marketing a product as a medical food – Extensive amount of R&D time – Requires at least Significant Scientific Agreement – Clinical studies are costly – Category narrowly construed – Limited marketing channels – Lower barrier of entry – FDA may disagree that the product is appropriately marketed as a medical food May 24, 2011 47
  • 48. Dietary Supplement Pros • Pros of marketing an ingredient as a food or dietary supplement – Lowest barrier to market entry – No FDA premarket approval required – NDI is a notification, not an approval process – Interesting issue whether FDA can deny a notification – No restrictions on marketing channels – U.S. consumers understand the implied meaning of structure/function claims – Less costly to manufacture – Less regulatory oversight May 24, 2011 48
  • 49. Dietary Supplement Cons • Cons of marketing an ingredient as a food or dietary supplement – Limited to structure/function claims or FDA-permitted health claims – Generally not covered by insurance – Generally no barriers to entry by competitors May 24, 2011 49
  • 50. Q&A At this point, Steve Allen will kick-off Q&A followed by the conference call moderator to give instructions to the audience for Q&A. May 24, 2011 50
  • 51. NCN 2011 Calendar NCN Seminar at Expo East - Baltimore • September 21-24, 2011 NCN at Supply Side West: Las Vegas • October 11, 2011: 8-10 Companies http://www.nutritioncapital.com/NCN_at_SupplySide _October_2010 NCN IX Fall Meeting, Los Angeles • November 14-15, 2011: 20-22 Companies http://www.nutritioncapital.com/NCN_IX_Fall_2011 NCN X Spring East Coast Meeting • May 2012: 20-22 Companies May 24, 2011 51
  • 52. THANKS FOR JOINING US We Look Forward To Seeing You at Supplyside West and NCN IX!