Health Breaking News: Link 262

Health Breaking News Links, as part of the research project PEAH (Policies for Equitable Access to Health), aim to focus on the latest challenges by trade and governments rules to equitable access to health in resource-limited settings

Health Breaking News: Link 262

 

COP23 climate talks make leap forward on agriculture agreement 

Far Away, Yet So Close: Musings on climate and health action 

‘Alternative’ US delegation to COP23 tries to reassure climate partners 

Meat ‘taboo’ debated at Bonn climate summit for first time 

Cities take up climate baton at COP23, make ambitious emission pledges  

Method that cuts sugarcane emissions gets global prize 

Soil-based filter bricks clean up water for Moroccan farmers 

‘Damaging’ Provisions On IP Dropped From TPP Agreement, MSF Says 

TPP Texts Show Suspended IP Provisions 

Treating diabetes takes more than insulin: Senegal mobile phone project promoting public 

Exclusive: New Global Fund chief Sands eyes disease elimination as goal 

Six Reasons Why the Global Fund Should Adopt Health Technology Assessment 

Reducing malaria in Solomon Islands: lessons for effective aid 

Pneumonic Plague in Madagascar Continues to Decline 

How War Created the Cholera Epidemic in Yemen 

Cervical cancer deaths: a blind spot in global women’s health  

FIRST WHO GLOBAL MINISTERIAL CONFERENCE on Ending Tuberculosis in the Sustainable Development Era. Moscow 16-17 November 2017 

Polio eradication: where are we now? 

WIPO Vaccines Report Contestable, Advocate Says, With UN High-Level Panel Misquoted 

KEI and MSF release comments on the proposed license of Zika vaccine candidates to PaxVax 

Antibiotic resistance is ‘crisis we cannot ignore,’ UN warns, calling for responsible use of these medicines 

WHO: Antibiotics – handle with care 

Pharmaceutical Industry Profits And Research And Development 

Pharmaniaga, Pharco and DNDi sign agreement to provide affordable hepatitis C treatment in Malaysia 

South Centre: Clear Rules Needed On Biosimilars Equivalence To Help Market Entry, Lower Prices 

Phase II/III studies show high efficacy and safety of fexinidazole, the first oral treatment for sleeping sickness 

DNDi/GARDP opens new South Africa liaison office, hosted by South African Medical Research Council 

Human Rights Reader 427 

What does the Mugabe story tell us about power in global health governance? 

Truth to Power: Five Things Officials Might Not Tell You about the UK and Global Development 

A Safe And Sustainable Blood System: A Public Health Policy Imperative 

The Road To Affordability: How Collaborating At The Community Level Can Reduce Costs, Improve Care, And Spread Best Practices 

How the Internet of Things and Smart Cities can help meet the SDGs 

Medical Ethics and Social Media in Pakistan

...Still, the fact that doctors hold power over their patients is indisputable. One of the fundamental duty/responsibility of governments, medical boards and hospital administrations in this regard is/should be to ensure that rules are put into place in order to diminish the probability of any abuse of this power...

...there are serious institutional questions that need to be addressed here and patient-doctor interaction is more complicated than we would like to believe...

...We need to develop a policy framework within which the various facets of patient-doctor relationship are analysed and which forms the basis for nationwide guidelines that help doctors to understand their roles and responsibility better in their social media interactions...

 By Muhammad Usman Khan*

WFP’s Technical Consultant to Planning and Development Department

Medical Ethics and Social Media in Pakistan

 

In the recent fiasco a doctor has added a patient on Facebook. The patient was the famed two time Oscar winner Sharmeen Obaid Chinoy’s sister. Sharmeen took to twitter bemoaning lack of boundaries in Pakistan and lodged a complaint against the doctor who was subsequently suspended. She asserted that the doctor added her sister on Facebook after a private check up and went on to comment on her pictures. The matter has been dissected from all ends of ideological spectrum and I do not seek to address the validity of any opinion. It does however beg the question: what are the institutional mechanisms and policy frameworks in Pakistan that aim to address these issues?

The field of medical ethics guides us in the process and helps untangle a lot of questions in this regard. However, it is important to remember that in our society being friends with your doctor is not unheard of and is by and large not viewed as something problematic. The potential adverse outcomes associated with patient-doctor friendship are not obvious to most people in Pakistan.

At the same time, as adults, we understand that the word ‘friend’ as has been applied to Facebook has a virtual implication that does not automatically spill into our lives and does not immediately hold us accountable against some perennial conception of friendship. We do not consider Facebook friendship requests with the same degree of seriousness as we do real life friendship. We should also be cognizant of the fact that our view of privacy does not translate onto the virtual world as seamlessly as some of us think it should. Nonetheless, when you send someone a friend request, it is reasonable to assume that you desire to stay in touch with them. Whether this translates into a friendship is not clear. For the sake of argument let’s suppose that it does. What are the pitfalls of such an association?

American Medical Associations observation from 1847 rings true even today:

The natural anxiety (of a physician), the solicitude which he experiences at the sickness…..of anyone  who is rendered dear to him, tends to obscure his judgement, and produce timidity, and irresolution in his practice.

This is not to say that a doctor does not experience anxiety at the misery of patients with whom he has no personal relationship. Rather, it is the quantum of the anxiety that is under consideration here. Under normal circumstances where the patients is not a relation or a friend, doctors are trained to maintain a sense of calm that allows them to dispense their duties adequately and in line with their fiduciary responsibility.

A physician, then, is to maintain the intricate balance between not developing a relationship outside of the professional setting and ensuring a professional and friendly disposition during his/her interactions with the patients. An overlap in these two relationships is unavoidable under certain circumstances. The token village doctor can’t escape this concurrence. This seemingly simple bifurcation can take various iterations given the subjective nature of interaction between patient and doctor. Doctors are barely trained to navigate this murky domain and little to no professional guidance is available from the institutions (hospitals, ministries, medical boards) to deal with such scenarios. The limits to this relationship are then set by the doctor, by the patient, by them both or neither.

A doctor may become overly invested in a patient who is a friend, leading to over investigation and unfair distribution of time. Alternatively, the patient and doctor may not discuss areas of medical import because of their friendship. This is more likely to happen when the problem is related to psychological or sexual domains.

If the boundaries of the relationship are delineated too close to the impersonal end of the spectrum, a doctor would not give appropriate attention to the patient.

What then is the role of social media?

The field of medical ethics tells doctors to maintain confidentiality, security and boundaries.  On one hand, social media can provide information to patients that allows them to make decision about their care providers and engage with them virtually so as to break the ice. But at the same time, it allows for enough information to move in either direction so as to have negative psycho-social implications. Similarly doctors can find out more about their patients through social media which can be useful in certain healthcare settings but can result in a breach of trust.

Pakistan Medical and Dental Council’s (PMDC) code of ethics is outdated in its details and needs serious upgradation on multiple fronts. It offers no way forward in terms of doctor-patient relationship and their interactions over social media. International medical bodies are more helpful on this front. UK’s General Medical Council (GMC)’s guidelines on the matter do offer some insights and continue to guide doctors to err on the side of caution. In terms of the penalty GMC states that serious or persistent failure to abide by the rules will put their registration at risk. What constitutes as serious and persistent needs to be quantified as well in Pakistan’s local context. The crux of the matter is that actions by the doctor that can be constituted as failure to perform the duties of a fiduciary on social media, be it breach of confidentiality or causing psychosocial damage, is contingent upon inappropriate online interaction. In a lot of ways, declining a friend request precludes the possibility of such interaction. The act of adding a patient on Facebook on its own, however, reflects a huge potential for the breach of the fiduciary duty. More information is needed to actually determine whether this responsibility was breached in the current case.

A doctor needs to be deeply aware of his/her place in the society and should take pains to ensure that the patient is at ease under all circumstances. The debate in the west by and large has been around the issue of why patients should not add their doctors on Facebook. The converse is not entertained as a real issue given that the idea of personal boundaries in patient-doctor interaction are very well defined and are reinforced within the medical community through various trainings and lawsuits. It is also critical to point out that by and large the western social norms do not stand to contradict these ethical boundaries.

Still, the fact that doctors hold power over their patients is indisputable. One of the fundamental duty/responsibility of governments, medical boards and hospital administrations in this regard is/should be to ensure that rules are put into place in order to diminish the probability of any abuse of this power. However, using presuppositions about power to explain away everything is both disingenuous and convenient. It does not leave room for real inquiry into the dynamics of individual interactions. It doesn’t offer any practical response other than exertion of power in the opposite direction. What we do know is that there are serious institutional questions that need to be addressed here and patient-doctor interaction is more complicated than we would like to believe.

What has been missing from the discourse on the issue so far is what the driving force of any honest intellectual inquiry is i.e. the assertions that we don’t know enough. Ironically it is the only thing we know for sure. Going by Sharmeen’s statements, what the doctor did was both unethical and worthy of bring reprimanded. However, the adequate response is something that is not obvious at all. We need to develop a policy framework within which the various facets of patient-doctor relationship are analysed and which forms the basis for nationwide guidelines that help doctors to understand their roles and responsibility better in their social media interactions. The primary action in this regard is to revisit the PMDC code of ethics and ensure that all medical colleges have the relevant stipulations embedded in their own by-laws and these are enforced and reinforced through adequate trainings and penalties. Only then a culture will emerge where such matters can be talked about in a nuanced manner.

————————————-

*About the author:

https://www.linkedin.com/in/muhammad-usman-khan-3a1034143/

 

 

Health Breaking News: Link 261

Health Breaking News Links, as part of the research project PEAH (Policies for Equitable Access to Health), aim to focus on the latest challenges by trade and governments rules to equitable access to health in resource-limited settings

Health Breaking News: Link 261

 

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Fighting TB stigma: we need to apply lessons learnt from HIV activism 

Comparison of two cash transfer strategies to prevent catastrophic costs for poor tuberculosis-affected households in low- and middle-income countries: An economic modelling study 

Measuring success: The challenge of social protection in helping eliminate tuberculosis  

Reaching global HIV/AIDS goals: What got us here, won’t get us there 

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News from TDR Director, John Reeder 

Recycling decreases mosquito densities in Uruguay 

Reviewing progress on sterile insect technique to control dengue 

New online version of the TDR implementation research toolkit now available 

Want Drug Regulators To Consider Real-World Evidence? Then Disrupt Their Outdated Regulatory Infrastructure 

EQUITY AND TARGETING ADOLESCENTS AND YOUTH IN HEALTH SERVICE DELIVERY 

The Paradox Of Humanitarian Work In South Sudan 

Greek health minister takes issue with Roche’s withdrawal of cancer medicine due to mandatory, retroactive discount 

The WHO Global conference on NCDs in Montevideo, Uruguay: Towards an integral response to the epidemic of non-communicable diseases 

How to make a success of COP23: Q&A with Barbara Hendricks 

4 Reasons for Countries to Enhance Their NDCs by 2020 

Climate experts insist fossil fuels have no place in post-2035 EU energy plans 

UN says 36.5 mln people in E. Africa face food crisis 

Paradise Papers: the hidden costs of tax dodging 

Eurodad reaction to the ‘Paradise Papers’ 

KEI Comment on GOP proposal to eliminate the Orphan Drug Tax Credit  

Private sector and development: The EU is not doing enough!

Operativo in Italia: Sistema BES

La legge n. 163/2016 prevede che l’andamento nell’ultimo triennio degli indicatori di benessere equo e sostenibile (BES) diventi un allegato al Documento di economia e finanza redatto ad aprile di ogni anno; e che il ministero dell’Economia valuti, in una relazione al Parlamento entro il 15 febbraio dell’anno successivo, l’impatto della legge di bilancio su tali indicatori

By Daniele Dionisio

Membro, European Parliament Working Group on Innovation, Access to Medicines and Poverty-Related Diseases

Responsabile del Progetto Policies for Equitable Access to Health – PEAH 

Operativi in Italia gli Indicatori BES

 

Il Benessere Equo e Sostenibile – BES entra a far parte della programmazione economica in Italia. Obiettivo è associare al PIL (Prodotto Interno Lordo, ovvero il peso dei beni e servizi prodotti dal Paese in un anno) una serie di indicatori mirati alle variabili fondamentali della funzione del benessere e qualità di vita  per le quali il PIL non è sufficiente né correlato. 

L’Italia è il primo paese europeo e del G7 ad includere indicatori  del benessere nella programmazione economica, nonostante che sollecitazioni a dotarsi di indicatori BES siano ben presenti nell’Agenda 2030 per lo sviluppo sostenibile diramata dall’ONU nel 2015.

Come stabilito dalla legge di Bilancio 163/2016, ed in riferimento ai 17 obiettivi di sviluppo sostenibile dell’Agenda ONU 2030, un comitato nazionale di esperti ha elaborato 12 Indicatori BES.  Lo schema di decreto del ministero dell’Economia con gli indicatori è stato sottoposto in estate alle commissioni Bilancio di Camera e Senato, che hanno espresso parere favorevole. Nelle more della formalizzazione finale, il governo ha comunque già inserito nel Def (Documento di Economia e Finanza) i primi quattro indicatori. Eccoli di seguito:

Reddito medio disponibile aggiustato pro capite
Rapporto tra il reddito lordo disponibile delle famiglie (consumatrici + produttrici) aggiustato (ovvero inclusivo del valore dei servizi in natura forniti dalle istituzioni pubbliche e senza fini di lucro), e il numero totale di persone residenti in Italia (valori nominali in euro).
Permette di stimare l’ammontare complessivo del reddito disponibile per le persone residenti in Italia, compreso il valore dei servizi in natura.

Indice di disuguaglianza del reddito disponibile
Rapporto fra il reddito equivalente totale ricevuto dal 20% della popolazione con il  più  alto reddito  e quello ricevuto dal 20% della popolazione con il più basso reddito.
Fornisce un’informazione sulla distanza in termini di reddito tra i più ricchi e i più poveri che, poiché considera i redditi equivalenti, tiene conto della diversa composizione familiare (diversi bisogni tra bambini e adulti; economie di scala che si realizzano con la coabitazione).

Tasso di mancata partecipazione al lavoro
Rapporto tra la somma di disoccupati e inattivi “disponibili” (persone che non hanno cercato lavoro nelle ultime 4 settimane ma sono disponibili a lavorare), e la somma di forze lavoro (insieme di occupati e disoccupati) e inattivi “disponibili”, riferito alla popolazione tra 15 e 74 anni.
L’indicatore esprime una misura dell’offerta di lavoro insoddisfatta più ampia rispetto al tasso di disoccupazione, poiché coglie anche quella parte di popolazione inattiva che si dichiara disponibile a lavorare pur non avendo cercato lavoro nelle 4 settimane che precedono l’intervista, dando così conto dei fenomeni di scoraggiamento e dei comportamenti “attendisti” dovuti agli esiti di passate azioni di ricerca.

Emissioni di CO2 e altri gas clima alteranti
Tonnellate di CO2 equivalente emesse su base annua da attività agricole, urbane e industriali, per abitante.
Sono incluse le emissioni di anidride carbonica (CO2), metano (CH4) e protossido di azoto (N2O), espresse in “tonnellate di CO2 equivalente”, con pesi che riflettono il potenziale di riscaldamento  in rapporto all’anidride carbonica: 1 per CO2; 298 per N20; 25 per CH4. Non viene considerato l’effetto compensativo legato alla presenza di boschi e altra copertura vegetale.

La legge n. 163 prevede che l’andamento nell’ultimo triennio degli indicatori BES diventi un allegato al Def redatto ad aprile di ogni anno; e che il ministero dell’Economia valuti, in una relazione al Parlamento entro il 15 febbraio dell’anno successivo, l’impatto della legge di bilancio su tali indicatori.
In sintesi, il Ministero dell’Economia e delle Finanze, entro il 15 febbraio 2018, valuterà per la prima volta l’impatto delle politiche economiche sui primi  4 indicatori. Successivamente, con il Def 2018, saranno introdotti gli altri otto indicatori come desunti di seguito dall’appendice II della Relazione finale del Comitato per gli indicatori di benessere equo e sostenibile:

Indice di povertà assoluta
Percentuale di persone appartenenti a famiglie con una spesa complessiva per consumi inferiore al valore soglia di povertà assoluta, sul totale delle persone residenti.

Speranza  di vita in  buona salute alla nascita
Numero medio di anni che un bambino nato nell’anno di riferimento può aspettarsi di vivere in buona salute, nell’ipotesi che i rischi di malattia e morte alle diverse età osservati in quello stesso anno rimangano costanti nel tempo.

Eccesso di peso
Proporzione standardizzata di persone di 18 anni e più in sovrappeso o obese sul totale delle persone di 18 anni e più.

Uscita precoce dal sistema di istruzione e formazione
Percentuale della popolazione in età 18-24 anni con al più il diploma di scuola secondaria di primo grado (licenza media), che non è in possesso di qualifiche professionali regionali ottenute in corsi con durata di almeno 2 anni e non frequenta nè corsi di istruzione nè altre attività formative.

Rapporto tra tasso di occupazione delle donne 25-49 anni con figli in età prescolare e delle donne  senza figli
Rapporto tra il tasso di occupazione delle donne di 25-49 anni con almeno un figlio in età prescolare (0-5 anni) e il tasso di occupazione delle donne di 25-49 anni senza figli, per 100.

Indicatore di criminalità predatoria
Numero di vittime di furti in abitazione, borseggi e rapine per 1000 abitanti.

Indice di efficienza della giustizia civile (durata media effettiva in giorni dei procedimenti di cognizione civile ordinaria definiti dei tribunali)
Il dato tiene conto dei procedimenti civili di cognizione ordinaria di primo e secondo grado (contenzioso + non contenzioso) dell’area SICID al netto dell’attività del Giudice tutelare e dell’Accertamento Tecnico Preventivo in materia di previdenza.

Indice di abusivismo edilizio
Numero di costruzioni abusive per 100 costruzioni autorizzate dai Comuni.

La scelta dell’Italia di dotarsi di indicatori BES appare necessaria anche alla luce del rapporto ASviS 2017 (Alleanza italiana per lo sviluppo sostenibile, rete di 170 organizzazioni), che indica i punti di forza e debolezza dell’Italia riguardo ai 17 obiettivi dell’Agenda ONU 2030 per lo sviluppo sostenibile. In sintesi, mentre si registrano miglioramenti per nove target, tra cui educazione, salute e alimentazione, è evidente un regresso per povertà, gestione delle acque, disuguaglianze ed ecosistema terrestre.

I dati del rapporto suggeriscono che una strategia basata su politiche integrate (che non trascurino interventi specifici in settori quali, ad esempio, consumo di suolo, approvvigionamento idrico e qualità dell’acqua e degli ecosistemi) migliorerebbe le prestazioni dell’Italia.

In questo scenario, l’entrata in azione, accanto al PIL, degli indicatori BES costituisce, senz’altro, un importante passo in avanti.

 

PER APPROFONDIRE

Legge 4 agosto 2016, n. 163 http://www.gazzettaufficiale.it/eli/id/2016/08/25/16G00174/sg

Testo dello schema di decreto e della relazione della Commissione che ha predisposto gli indicatori  http://www.senato.it/service/PDF/PDFServer/BGT/1029767.pdf

Rapporto ASviS 2017 http://www.asvis.it/rapporto-2017/

UN: Transforming our world: the 2030 Agenda for Sustainable Development https://sustainabledevelopment.un.org/post2015/transformingourworld

 

 

 

Global Health Initiatives: What Do We Know About Their Impact On Health Systems?

Global Health Initiatives such as GAVI, GFATM and PEPFAR have incurred criticism of being selective and narrowly defined while placing poor emphasis on - and falling short of - health systems strengthening

By Angela Owiti*

Trainee at Wemos foundation

Global Health Initiatives

 What Do We Know About Their Impact On Health Systems?

 

The Global Health Initiatives (GHIs) were created to help meet the Millennium Development Goals (MDGs) (1). They pool funds and expertise and focus their efforts across different countries towards disease specific interventions, such as anti-retroviral therapy (ART), vaccines and insecticide treated bed nets. While these programmes have reached substantial outcomes in many low and middle income countries (LMICs), they also received criticisms in the first decade of their advent for operating through parallel delivery systems and causing unwanted weakening effects on the countries’ health care systems (2). The first comprehensive report on the interaction between GHIs and country health systems by the World Health Organization (WHO) Maximizing Positive Synergies Collaborative Group recommended that GHIs need to place more emphasis on strengthening health systems. In addition, they concluded that with some adjustments in the way they operate, GHIs can offer critical opportunities to improve ‘efficiency, equity, value for money and outcomes in global public health’ (1).

Moving towards strengthening of health systems

Following the criticisms and recommendations, three large GHIs- the Global Alliance for Vaccines and Immunization (GAVI), the Global Fund to Fight Aids, Tuberculosis and Malaria (GFATM), and the United States President’s Emergency plan for AIDS Relief (PEPFAR)- responded and  embraced a commitment towards strengthening health systems since around 2010 (3). However, their HSS (health system strengthening) strategies were seen as being selective and narrowly defined by both Marchal et al (4) and Storeng (5). Since then, the GHIs increasingly encourage countries to request for resources targeted at strengthening health systems, albeit with that narrow view of optimizing the delivery of their disease-specific health programmes (2). Hence, this raises questions of whether health systems in LMICs are really benefitting.

I therefore examined whether GAVI, GFATM and PEPFAR are having reported impacts on the health systems. As a follow-up of reviews published in 2009 and to coincide with the time that the three GHIs started to focus explicitly on HSS, I identified and reviewed 19 articles published between 2010 and 2017 on the effects of GHIs on country health systems, with a particular focus on countries in Sub-Saharan Africa (SSA). The articles however mainly described the situation before the new focus on HSS which was introduced around 2010. Below I present the findings of my literature review.

Findings

The literature review showed that the achievements of GHIs yielded both positive and negative effects. Most of the results relating to the impact on the health systems identified in the reviewed articles are on the health service delivery and the health workforce function, while governance is seldom scrutinized.

Key positive effects include: an increase in access to ART (6); increased linkages between HIV and TB programmes and other healthcare programmes such as maternal and child health services and family planning (6) and pre-service training to increase the capacity of health care workers (HCWs) (7). Adverse effects described include: the ‘internal brain drain’ of health care workers from public health facilities (which already struggle with shortages) to private sector or GHI-funded organizations (8)(9);conflict between top-down strategies of disease programmes and local planning activities (10)(11); and parallel systems which create duplicate tasks and an increased workload for HCWs (also for already overburdened staff); over-emphasis on in-service training of HCWs resulting in per-diem hunting and duplicate training (7)(9). Other findings cover the over-reliance on external donor funds which generate concerns over the long-term sustainability of the programmes, and that GHIs limit their efforts towards a few diseases thus many high burden problems such as maternal and child health, non-communicable and neglected tropical diseases are not equally addressed (10).

Paucity of evidence

Two features from the literature review stood out. First, most of its findings were similar to those of the previous reviews published in 2009 (2)(1). This does not come as a total surprise, because most of the data collected in the identified and reviewed articles were collected before 2010. Secondly, the results showed that there seems to be unequal attention to all GHIs. While my focus was on GAVI, GFATM and PEPFAR, my search did not produce any articles on the interaction of GAVI with health systems. To me this is evidence that not enough attention is being given by both the recipient and donor countries, and the global health research community on the interaction of GHIs with country health systems. An issue which has been previously raised and discussed by the WHO’s Maximizing Positive Synergies Collaborative Group (1). More than half a decade after these GHIs’ explicit commitments to strengthen health systems, this attention seems to be long over-due.

Short term versus long term effects

GHIs were initially intended to salvage emergency situations. Their quick response was mainly in the form of supporting health systems with interventions which fill urgent gaps and primarily focused on increasing inputs. These include short-term interventions such as those that improve or upgrade facilities, improve services or provide salary support (12). Though these interventions have helped to ensure the scale up of treatment such as in the case of HIV/AIDS, they do not lead to the processes that bring about sustainable change and performance. I do agree with Chee et al (12), that it may have been easier to think in the short term but with time it became evident that this approach caused fragmentation in the health systems and, as a result, the negative effects which are also reported in the studies I reviewed were observed.

Strengthening health systems on the other hand is not just about filling gaps but ensuring that the six health system building blocks – leadership and governance; financing; service delivery; health workforce; health information systems and medicines and other commodities – function better (13). It also involves “managing these building blocks in a manner that strives to achieve more equitable and sustained improvements across health services and health outcomes” (12). The 2004-2009 Malawian Emergency Human Resources Programme (EHRP) that was co-funded by the GFATM was a promising example. It involved the recruitment and pre-training of HCWs, but more importantly policies and activities that are related to financial and non-financial incentives, such as employment conditions and staff placements, were implemented to address issues such as inadequate staffing and low motivation. The EHRP was also done with the collaboration of different international initiatives, the health sector-wide approach (SWAp) and the Malawian government. All of which is intricately related to the system building block of service delivery. There was a reported significant increase in the HCW density. However, the longer term effects of the EHRP on Malawi’s health workforce and its sustainability are not reported in literature.

Research on health systems is needed

The Sustainable Development Goals (SDG) demonstrates a renewed global commitment to health, underpinned by SDG3 including its ambitious target on Universal Health Coverage (UHC). For that we need to build strong and responsive health systems to ensure that all people and communities have access to essential and affordable health services. Achieving UHC for all countries requires global commitment. GAVI, GFATM and PEPFAR claim to be part of the solution. But both the donor and recipient countries need to hold them accountable and ensure that they are not just talking the talk but also walking the walk. Positive benefits will only happen if we explicitly set out to achieve them. For this we need research on health systems! Good measuring frameworks and knowledge sharing to highlight both the best practices and lessons learnt. This will help countries build their systems and meet the needs of the people and the communities.

*About the author

Angela Owiti is pursuing an Advanced Master degree in International Development (AMID) at the Radboud University in the Netherlands and is a trainee at Wemos foundation. This literature review was conducted for the foundation’s activities in the Health Systems Advocacy Partnership (HSAP), which is active in five countries in SSA: Kenya, Uganda, Zambia, Tanzania and Malawi.

References

  1. Samb B, Evans T, Dybul M, Atun R, Moatti JP, Nishtar S, et al. An assessment of interactions between global health initiatives and country health systems. Lancet [Internet]. 2009;373(9681):2137–69. Available from: http://dx.doi.org/10.1016/S0140-6736(09)60919-3
  2. Biesma RG, Brugha R, Harmer A, Walsh A, Spicer N, Walt G. The effects of global health initiatives on country health systems: A review of the evidence from HIV/AIDS control. Health Policy Plan. 2009;24(4):239–52.
  3. Warren AE, Wyss K, Shakarishvili G, Atun R, de Savigny D. Global health initiative investments and health systems strengthening: a content analysis of global fund investments. Global Health [Internet]. 2013;9(1):30. Available from: http://globalizationandhealth.biomedcentral.com/articles/10.1186/1744-8603-9-30
  4. Marchal B, Cavalli A, Kegels G. Global health actors claim to support health system strengthening – Is this reality or rhetoric? PLoS Med. 2009;6(4):1–5.
  5. Storeng KT. The GAVI Alliance and the “Gates approach” to health system strengthening. Glob Public Health [Internet]. 2014;9(8):865–79. Available from: http://www.pubmedcentral.nih.gov/articlerender.fcgi?artid=4166931&tool=pmcentrez&rendertype=abstract
  6. Rasschaert F, Pirard M, Philips MP, Atun R, Wouters E, Assefa Y, et al. Positive spill-over effects of ART scale up on wider health systems development: Evidence from Ethiopia and Malawi. J Int AIDS Soc. 2011;14(SUPPL. 1):1–10.
  7. Bowser D, Sparkes SP, Mitchell A, Bossert TJ, Bärnighausen T, Gedik G, et al. Global Fund investments in human resources for health: Innovation and missed opportunities for health systems strengthening. Health Policy Plan. 2014;29(8):986–97.
  8. Mussa AH, Pfeiffer J, Gloyd SS, Sherr K. Vertical funding, non-governmental organizations, and health system strengthening: perspectives of public sector health workers in Mozambique. Hum Resour Health [Internet]. 2013;11(1):26. Available from: http://human-resources-health.biomedcentral.com/articles/10.1186/1478-4491-11-26
  9. Chima CC, Homedes N. Impact of global health governance on country health systems: the case of HIV initiatives in Nigeria. J Glob Health [Internet]. 2015;5(1):10407. Available from: https://www.ncbi.nlm.nih.gov/pmc/articles/PMC4416331/
  10. Mwisongo A, Soumare AN, Nabyonga-Orem J. An analytical perspective of Global health initiatives in Tanzania and Zambia. BMC Health Serv Res [Internet]. 2016;16(S4):223. Available from: http://bmchealthservres.biomedcentral.com/articles/10.1186/s12913-016-1449-8
  11. Oliveira Cruz V, McPake B. Global Health Initiatives and aid effectiveness: insights from a Ugandan case study. Global Health [Internet]. 2011;7(1):20. Available from: http://globalizationandhealth.biomedcentral.com/articles/10.1186/1744-8603-7-20
  12. Chee G, Pielemeier N, Lion A, Connor C. Why differentiating between health system support and health system strengthening is needed. Int. J. Health Plann. Manage. [Internet] 2013 Jan; 28(1):85–94. Available from: https://www.ncbi.nlm.nih.gov/pmc/articles/PMC3617455/
  13. World Health Organization. Everybody’s business: strengthening health systems to improve health outcomes: WHO’s framework for action. [Internet]. 2007 p. 1–56. Available from: http://www.who.int/healthsystems/strategy/everybodys_business.pdf 

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EU to Get Rid of Big Pharma-friendly SPCs

Extended monopoly protection by the Regulation EC 469/2009 concerning the supplementary protection certificate (SPC) mechanism for medicinal products has led to spiralling prices in Europe for lifesaving medicines, while exhausting the national budgets and depriving patients of fair access to treatments. The EU Commission should repeal the SPCs and put in practice the recommendations signed on 8 September 2017 by thirty-three civil society organisations, in alignment with the final report of the UN High Level Panel on Access to Medicines

By Daniele Dionisio*

Head of the research project PEAH – Policies for Equitable Access to Health

 EU to Get Rid of Big Pharma-friendly SPCs

 

As reported, the main reasons for high drug costs in recent years have been the continuous increase (up to 10 percent at least year by year) ‘’in prices for existing on-patent drugs, which account for more than 70% of all drug spending, and the six-figure retail prices set for the latest generation of specialty and cancer therapeutics.’’

In Europe, the prices for new medicines on the market have skyrocketed over the past decade, putting EU governments in a search for new steps to turn the tide. Just for example, sofosbuvir, a breakthrough Gilead product for hepatitis C treatment, was rolled out at prices beyond the grasp of EU countries’ public budgets, resulting in sofosbuvir rationing in some cases. Italy has exceptionally gone against the trend and allowed hepatitis C patients to import cheap Indian sofosbuvir generic copies.

Under these circumstances, following a request by the European Council in June 2016, the European Commission is currently reviewing the Regulation EC 469/2009 concerning the supplementary protection certificate (SPC) for medicinal products as a mechanism prolonging exclusivity and monopoly rights for originator pharmaceutical companies.

As a matter of fact, such an extended monopoly protection beyond new medicines’ 20-year patent term has undermined access to affordable generic drugs and biosimilars in Europe and led to unbearably spiralling prices of medicines for HIV/ AIDS, cancer and hepatitis C treatment.

In a nutshell, by stifling generic competition, SPCs keep up extortionate drug prices while exhausting earmarked national budgets for health and depriving patients of fair access to lifesaving treatments.

The introduction of SPCs was justified in order “to meet the innovative pharmaceutical concern that they were no longer given a fair opportunity to recover their Research and Development efforts and investments.” As such, a question arises about the real cost to develop a prescription drug, where featured estimates of $4-11 billion and $2.56 billion were released in recent years by Forbes and the Tufts Center in Boston, respectively.

In the face of this, opponents challenged the figures above and defended the notion that a new drug can be developed for a fraction of the cost the Tufts report suggests.

Indeed, current experience supports that new drugs can be developed for as little as $50 million (or up to $186 million by taking failure into consideration). According to a September 2017 commentary in JAMA (Journal of the American Medical Association), the actual cost of developing a new drug would be approximately one-fourth the Tufts study estimate.

This is without prejudice to the evidence that routine R&D expenses are lower than company overheads, including marketing costs. And often after-tax profits largely exceed those high R&D costs the corporations allege. As recently reported, yearly spending on share buybacks and dividend payments is in many cases far higher than corporations’ investments in R&D.

What’s more, since innovation costs money and patent monopoly enables industry to keep prices as high as the market can bear, Big Pharma is engaged in rolling out non-stop newly patented variations on existing drugs (the so-called “evergreening”) that offer no added therapeutic benefit but demand less in terms of time, cost and risk. These drugs are the main output of R&D so far.

In other words, instead of genuinely engaging in new drug development, the pharmaceutical industry invests in adding on to the list of already existing, effective treatment solutions. As a rule, ‘me-too’ drugs are exceedingly priced as well, sadly leading to the awareness that imitation, not innovation, is rewarded under the current patent regime.

SPCs are in fact evergreening strategies because once a single company has patented minor changes to an existing medicine, the same company will expectedly apply for an SPC on those minor changes, so extending its monopoly while avoiding the risk of generic competition.

As such, SPCs add to the feeling that end-users would fork out more money to finance marketing campaigns and profits of Big Pharma than to back genuine research of new drugs.

Another justification for introducing SPCs was that “the period that elapses between the filing of an application for a patent for a new medicinal product and authorisation to place the medicinal product on the market makes the period of effective protection under the patent insufficient to cover the investment put into the research.” This rationale is hardly acceptable, however, since, as contended, any delay in regulatory approval attributable to shortcomings in regulatory agencies’ capacity or resources should be tackled by strengthening them and their means, rather than resorting to an SPC mechanism.

And there is more. SPCs combine frequently with expedients securing further prolonged market exclusivity if applicants meet definite obligations. As would be the case (article 36 paragraph 1 Regulation EC No 1901/2006) for an additional six month extension exclusivity period granted to ‘’the holder of the patent or SPC for the results of all studies conducted in compliance with an agreed paediatric investigation plan’’.

Based on all points above, it comes as no surprise that on 8 September, 33 civil society organisations – including MSF, HAI, Oxfam, Wemos, UAEM Europe and EATG among others – signed and sent a well-documented letter to the Commission recommending them to:

-abolish the SPC mechanism

-improve transparency, flexibility and public health impact assessment in the current SPC review process

-stop encouraging the inclusion of SPCs – or similar mechanisms, such as patent term extensions – in free trade agreements with other countries.

In the event SPCs remain, the signatories asked the Commission to:

-allow third-party observations during the examination procedure for SPC applications and an opposition procedure, open to anyone, after an SPC is granted

-improve transparency of market exclusivity status by creating “an easily searchable public database for consumers, procurement agencies, civil society organisations and governments to identify SPCs that have been awarded and the delays to generic competition that such SPCs will cause.”

The success rate of these meaningful recommendations is unpredictable in these times of unfettered trade liberalization in which, as maintained by AE Byrn, Y Pillay and TH Holtz in their Textbook of Global Health (2017 edition, Oxford University press): ‘..the exigencies of market competition and enormous corporate power mean that governments privilege economic priorities and corporate interests over social and environmental needs, even in settings where democratic institutions and decision-making processes are marked by integrity and representativeness…’

This context seemingly bodes ill at a time when the European authorities are doing almost nothing to check the tide of ‘me-too’ drugs, the European Medicines Agency keeps testing new medicines only in terms of safety and efficacy compared with a ‘pretend’ drug, while pharma companies and their allies are lobbying policy decision makers to scupper any rules that would force them to disclose the real R&D costs and profits of their medicines and the rationale for charging what they do.

Yet, the aforesaid recommendations matter as an authoritative voice hammering home the point that non-stop engagement worldwide is needed to pressure governments into implementing equitable measures for health.

By taking this into account, and for all highlighted here, the European Commission should repeal the Regulation EC 469/2009. Otherwise, they would disregard the European Council’s recognition (17 June 2016, paragraph 19) of “the importance of timely availability of generics and biosimilars in order to facilitate patients’ access to pharmaceutical therapies and to improve the sustainability of national health systems.”

Coherently, the Commission should put in practice the recommendations above in the wake of, and in alignment with, the requests laid down one year ago by the United Nations High Level Panel on Access to Medicines in their final report serving as a cornerstone, under the UN 2030 Agenda perspective, for all decisions regarding the fair access to treatments and care – and not just at a poor country level.

Relevantly, the Panel called for WTO members to comply with and globally implement the WTO Doha Declaration on TRIPS (WTO Agreement on Trade-Related Aspects of Intellectual Property Rights) and Public Health. This includes facilitating the issuance of compulsory licences, rejecting the so-called evergreening of patents, restricting patents to genuine inventions only, and refraining from patent term extensions.

The report contended that “Governments should require manufacturers and distributors of health technologies to disclose to drug regulatory and procurement authorities information pertaining to:

(1) the costs of R&D, production, marketing and distribution of health technology being procured or given marketing approval with each expense category separated; and

(2) any public funding received in the development of the health technology, including tax credits, subsidies and grants.”

In addition, the WHO was invited to establish and keep up an “accessible international database of prices of patented and generic medicines and biosimilars in the private and public sectors of all countries where they are registered.” At the same time, governments were asked to establish, preserve and update publicly accessible databases with patent information status and relevant figures to drugs and vaccines.

 

———————————————-

*article originally published in Intellectual Property Watch https://www.ip-watch.org/2017/10/18/eu-get-rid-big-pharma-friendly-spcs/

Daniele Dionisio is a member of the European Parliament Working Group on Innovation, Access to Medicines and Poverty-Related Diseases. Former director of the Infectious Disease Division at the Pistoia City Hospital (Italy), Dionisio is Head of the research project PEAH – Policies for Equitable Access to HealthHe may be reached at d.dionisio@tiscali.it http://www.peah.it/ https://twitter.com/DanieleDionisio https://www.linkedin.com/in/daniele-dionisio-67032053

 

 

 

 

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RUTF from Locally Available Ingredients for Children with SAM in India

Tackling Severe Acute Malnutrition (SAM) among children has been a big challenge faced by several developing nations including India for decades now. Many Indian states have tried to use the packaged Ready to Use Therapeutic Food (RUTF) supplied by a few manufacturers (Indian and overseas) with limited success. Owing to the strong resistance put up by the Government Departments as well as the ‘Anganwadi ‘(Children Community) workers together with other associated people in implementing this effort due to variety of reasons it becomes imperative that we think of alternatives. One of them is producing freshly made RUTF at community level using the locally available food ingredients thereby making the food more palatable, easy to administer without changing the food habits of the children. This article deals with our experiment of creating this RUTF locally at community level tried out by our NGO Hamara Prayatan through research and development carried out at our laboratory

By Kishore Shintre

Food Fortification Consultant, ‘Hamara Prayatan’ (‘Our Efforts’) NGO, New Delhi, India

Ready to Use Therapeutic Food from Locally Available Food Ingredients for Children with Severe Acute Malnutrition in India

 

Ready to Use Therapeutic Food (RUTF)

RUTFs are a “homogeneous mixture of lipid-rich and water-soluble foods.” The lipids used in formulating RUTFs are in a viscous liquid form. The other ingredients are in small particles and are mixed through the lipid. These are proteins, carbohydrates, vitamins and minerals. The mixture needs to be homogeneous for it to be effectively consumed. To do this, a specific mixing process is needed.  The fat/lipid component of the RUTF is heated and stirred first. The heat should be maintained for the lipid to remain in the optimum form for mixing in the other ingredients. The powdered proteins, carbohydrates, and vitamins and minerals are then slowly and gradually added to the lipid, while the lipid is being vigorously stirred. After all the ingredients are added and vigorous stirring is maintained, the mixture is then stirred with more speed and for several minutes.  If the powdered ingredients have a particle size that is larger than 200 µm, the mixture starts to separate; the particle size needs to be maintained at less than 200 µm.

Examples of RUTF in use:

 

An example of the composition of a RUTF

 

Ready-to-use therapeutic food (RUTF) are energy-dense, micronutrient enhanced pastes used in therapeutic feeding. These soft foods are a homogenous mix of lipid rich foods, with a nutritional profile similar to the World Health Organization-recommended therapeutic milk formula used for inpatient therapeutic feeding programmes. Typical primary ingredients for RUTF include peanuts, oil, sugar, milk powder and vitamin and mineral supplements. The standard dose of RUTF is adjusted according to the weight of the child under treatment. It can be consumed in the home at any time under minimal supervision until the child has gained adequate weight. Because RUTF do not contain water, children should also be offered safe drinking water to consume at will. They also require a short course of basic oral medication to treat any infections and for deworming, vitamin A supplementation and folic acid. Health workers should also provide follow up care in the form of the next supply of RUTF on a weekly or biweekly basis, and should monitor the child’s condition. An average full course of treatment for a child amounts to around 10-15 kilogrammes of RUTF over a 6-8 week period, which is approximately one carton of RUTF (150 sachets).

UNICEF is the world’s largest purchaser and distributor of RUTF. Other notable procurers include Médecins sans Frontières and the Clinton Foundation. Around 1.96 million children suffering from SAM were treated with RUTF in 2011, accounting for around 10 per cent of the estimated 20 million suffering from severe acute malnutrition globally.

In Indian diets the most commonly used pulses are in the form of ‘dal’ which means ‘split pulses’ ,these are stored in dried and uncooked form. While cooking these are either cooked in pressure cooker or in pans along with water and are consumed  as thin or thick liquid form along with rice or Indian bread (roti). These pulses form an integral part of staple food all over India especially as a source of proteins for vegetarian population which is predominant in India as compared to those who have access to animal protein. The whole pulses are also used in soaking, sprouting and then using them to make a curry called ‘usal’ which is cooked with spices and salt and are normally eaten along with rice or Indian bread (roti). The pulses flour like Bengal Gram flour is used for making several kinds of Indian sweets like jalebis, laddoos etc. which are nutritious as well as delicious.

RUTF normally uses peanut powder, milk powder, powdered sugar, vitamin and mineral premix as ingredients which are emulsified in vegetable oil phase and are mixed to form a paste.

We have made some changes  in the recipe of RUTF as follows:

  1. Replace peanut powder/paste in RUTF with mixed pulses in roasted and powder form to give more percentage of protein and to have a better taste
  2. Replace milk powder in RUTF with fortified liquid soya milk ( with oil soluble vitamins)
  3. Instead of paste form we propose using dry powder of mixed pulses, sugar and dry vitamins and minerals which is packed in a sachet form. At the time of administration this powder is added to a bowl containing fortified soya milk, by simple stirring with a spoon by which the powder is dissolved into soya milk for making the required paste form. The net weight will be around 150 gram of RUTF (100 gm soya milk contains 2.86 gm protein, 1.61 gm fat, 33 kcal, 1.74 gm carbohydrate).

Our Formula for Locally made RUTF is as follows:

Therefore our total material cost comes to about Rs.15.3 + labour cost of Rs.0.7= Total cost Rs.16 per serving of RUTF to provide 203 kcal energy, 9.7 gm protein. This cost is much lower than the commercially available RUTF (either imported or commercially produced) which costs Rs.24-25 per serving and it is also not being used at a large scale for the treatment of SAM.

In India, 48% of children under- five years of age are stunted and 43% are underweight: almost 8 million children suffer from SAM. It is argued that though the effectiveness of Plumpy Nut (produced by Nutriset in France and being imported in several States for SAM treatment in India), has been demonstrated in other countries, the studies demonstrating effectiveness were carried out in disaster settings where other community-based treatments for SAM have not existed. Many locally produced/producible foods that are culturally acceptable and relatively low cost have been used for SAM in India for many decades by reliable academic and medical institutions as well as by non-governmental groups. Though there are few formal studies documenting their efficacy, there are some along with plenty of anecdotal evidence of success.

In Conclusion:

It could be therefore concluded that the locally produced RUTF substitute like the one produced by our NGO could be an effective, economical and sustainable option to be scaled up at various sites. We propose setting up such small manufacturing units in the areas where there are more number of cases of SAM in India. This will minimize the logistics cost of importing large quantities and storage at central warehouses. Our NGO supports the Government programmes in various states in setting up such units. All the materials including vitamin and mineral premix are available and locally produced in India.

Our process requires only a small blender and a sachet packing machine as well as soya milk bottling or sachet making machine which does not require high investments and this also generates employment to the village and community level.

 

References

-Ready to Use Therapeutic Food https://en.wikipedia.org/wiki/Therapeutic_food

-UNICEF: Ready to Use Therapeutic Food for Children with Severe Acute Malnutrition https://www.unicef.org/media/files/Position_Paper_Ready-to-use_therapeutic_food_for_children_with_severe_acute_malnutrition__June_2013.pdf

-Soy milk https://en.wikipedia.org/wiki/Soy_milk

-Should India use Commercially Produced Ready to use Therapeutic Foods (RUTF) for Severe Acute Malnutrition (SAM) https://www.imtf.org/should-india-use-commercially-produced-ready-to-use-therapeutic-foods-rutf-for-severe-acute-malnutrition-sam/