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ICCA UK and Ireland Winter Debate 2014 - Healthcare Compliance the impact on PCOs and Medical Associations
1. Healthcare Compliance: the relevance and impact for PCO’s and
Medical Association Clients
Caroline Mackenzie, Commercial Director
CONTENDAM Ltd
2. Consider how increased and changing healthcare
compliance is impacting the role of a PCO, the advice
and the guidance needed to medical association clients
3. Personal Background
1989 – 1990
Graduate Hotel Management Trainee
1990 – 1994
The Medicine Group
Medical Communications and pharma event
management
1994 – 1998
Concorde Services
PCO – mainly medical associations
1998 – 2006
PPSI / Parexel
Medical Communications – Pfizer Inc
2006 -
Congrex / Contendam
PCO – mainly medical associations
5. So What is Compliance?
It is the regulations and codes that determine
how commercial healthcare companies
(pharmaceutical or medical technologies)
interface with Healthcare Professionals (HCPS)
6. So What is an HCP?
ABPI definition is:
The term ‘health professional’ includes members of the
medical, dental, pharmacy and nursing professions and any
other persons who in the course of their professional activities
may administer, prescribe, purchase, recommend or supply a
medicine
22. New EFPIA Code
• Apply to interactions with Healthcare Professionals (HCPs)
taking place within Europe
• Changes are effective on 1 January 2014 or according to
national implementation plans (no later than July 2014)
23. New EFPIA Code
Article 9
INFORMATIONAL OR EDUCATIONAL
MATERIALS AND ITEMS
OF MEDICAL UTILITY
New article that sets out
requirements for the value and
purpose of informational and
educational materials and items of
medical utility
Examples
• Only ‘inexpensive’ materials, e.g.
no tablet to contain presentation, no
branded materials without purpose
of education
• Memory stick with materials, a
model ‘inexpensive’ brain etc. could
still be acceptable.
Article 10
EVENTS AND
HOSPITALITY
Article 17
PROHIBITION OF GIFTS
Revised wording of companies’
possibilities to offer meals and
beverages at events, and
establishment of national
monetary limits for the value of
meals and beverages
New article clarifying that no
gifts or pecuniary advantage
(in cash or benefit in kind)
may be supplied, offered or
promised to an HCP
Examples
• Clear guidance on country
level of acceptable monetary
limit for meals and beverages
Examples
•This includes brand
reminders such as pens,
binders, briefcases, bags etc.
that could include product or
company brand
• Companies shall not provide
any meals or beverages,
unless, in each case, the value
does not exceed the monetary
threshold set by the relevant
Member Association in its
national code
26. Likely Impact of HCP Payment Disclosure
• Greater number of self funding
delegates
• Reduced delegate numbers?
• Greater importance of selecting
right destination:
• Accessibility
• Affordable travel and Accom
• Registration and out of
pocket costs etc
27. Likely Impact of Prohibition of Gifts
• Will hit support of traditional
sponsorship items
• PCOs and associations – new
creative ideas for sponsorship
revenues
• Need to ensure that sponsor
achieves ROO
29. Content is King
• Top quality science
• Education and development paramount
• Engaging and varied learning formats
• Latest cutting edge research
• Key opinion leaders / renowned speakers
• Accreditation / CPD
• Enduring content with greater out reach
• How will attendance improve delegates’ ability to treat patients?
30. The Role of the PCO?
Advisor and
guidance
Solutions
and
outreach
Reducing
costs / New
revenue
streams