Nov 23, 2022· Comment from Animal Health Institute (AHI)· FDA-2021-N-1351-0045
The ANIMAL HEALTH INSTITUTE (AHI) appreciates the opportunity to comment on the Proposed Rule to revise the National Drug Code Format and Drug Label Barcode Requirements. We respectfully submit the attached comments. AHI's primary request is for the animal health industry to maintain flexibility regarding whether NDC codes are included on the drug label. We welcome the opportunity to provide any additional information to support the ongoing efforts related to NDC formatting.