Mar 8, 2018· Comment from National Association of Chain Drug Stores (NACDS)· FDA-2017-E-4282-0008
Please see the attached comments of the National Association of Chain Drug Stores in support of the draft guidance on "Providing Regulatory Submissions in Electronic Format-Content of the Risk Evaluation and Mitigation Strategies Document Using Structured Product Labeling." We appreciate the opportunity to provide comments to the FDA on this matter.