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1.
Proc Natl Acad Sci U S A ; 99(6): 3422-7, 2002 Mar 19.
Article in English | MEDLINE | ID: mdl-11904404

ABSTRACT

The vitamin A metabolite, all-trans retinoic acid (atRA), plays an important role in neuronal development, including neurite outgrowth. However, the genes that lie downstream of atRA and its receptors in neuronal cells are largely unknown. By using the human neuroblastoma cell line, SH-SY5Y, we have identified an atRA-responsive gene (RAINB1: retinoic acid inducible in neuroblastoma cells) that is induced within 4 h after exposure of SH-SY5Y cells to atRA. RAINB1 mRNA is highly expressed in the nervous system (10.5- to 11-kb transcript) in both developing embryos and adults. Its expression is perturbed in developing rat embryos exposed to excess or insufficient atRA. RAINB1 is present on chromosome 11 and is spread over 38 exons, resulting in a putative ORF of 2,429 amino acids. The RAINB1 protein shows high similarity to a gene in Caenorhabditis elegans, unc-53, that is required for axonal elongation of mechanosensory neurons, suggesting that these proteins are orthologs. Thus, RAINB1 may represent a critical downstream gene in atRA-mediated neurite outgrowth.


Subject(s)
Caenorhabditis elegans Proteins/genetics , Caenorhabditis elegans Proteins/metabolism , Nerve Tissue Proteins/genetics , Nerve Tissue Proteins/metabolism , Tretinoin/pharmacology , Up-Regulation/drug effects , Aging/metabolism , Amino Acid Sequence , Animals , Caenorhabditis elegans/chemistry , Caenorhabditis elegans Proteins/chemistry , Chromosomes, Human, Pair 11/genetics , Cloning, Molecular , Embryo, Mammalian/metabolism , Embryo, Nonmammalian , Exons/genetics , Gene Expression Profiling , Gene Expression Regulation, Developmental , Humans , In Situ Hybridization , Molecular Sequence Data , Nerve Tissue Proteins/chemistry , Nervous System/metabolism , Neuroblastoma/genetics , Neuroblastoma/metabolism , Physical Chromosome Mapping , RNA, Messenger/genetics , RNA, Messenger/metabolism , Rats , Tretinoin/administration & dosage , Tumor Cells, Cultured
3.
Health Aff (Millwood) ; 18(2): 96-111, 1999.
Article in English | MEDLINE | ID: mdl-10091437

ABSTRACT

The U.S. Food and Drug Administration (FDA) is responsible for protecting consumers from unsafe or ineffective drugs and medical devices. The agency's role is defined by a growing and increasingly complex set of statutes, which reflect Congress's desires, on the one hand, to prevent product hazards and, on the other, to expedite FDA review and approval of promising new medical technologies. Congress's latest attempt to calibrate regulation to achieve these goals, the 1997 Food and Drug Administration Modernization Act, endorses certain of the FDA's own innovations and changes in the agency's ways of doing business.


Subject(s)
United States Food and Drug Administration/legislation & jurisprudence , United States Food and Drug Administration/organization & administration , Drug Approval , Drug Labeling , Equipment and Supplies , Humans , United States
4.
Duke Law J ; 47(6): 1071-94, 1998 Apr.
Article in English | MEDLINE | ID: mdl-10557545

ABSTRACT

Professor Richard Merrill contends that the Federal Food, Drug, and Cosmetic Act does not grant the FDA regulatory authority over cigarettes and smokeless tobacco products. The fact that Congress did not expressly deny the FDA regulatory authority over tobacco cannot, Professor Merrill argues, be used to infer such authority. This inference is particularly inappropriate in the case of tobacco regulation, he maintains, because there is compelling evidence that Congress had no intention of delegating this authority to the FDA. He is unpersuaded that presidential approval legally sanctions the FDA's claim of authority by granting it a superficial political legitimacy. Finally, he reminds us of the FDA's own repeated denials of jurisdiction over tobacco products, and he recalls the numerous times that Congress passed legislation directed at tobacco without granting the FDA any role in its regulation. Professor Merrill's Essay, like the other pieces in this volume, was written after the United States District Court for the Middle District of North Carolina decided Coyne Beahm v. FDA, but before a three judge panel of the United States Court of Appeals for the Fourth Circuit reversed that decision in Brown & Williamson Tobacco Corp. v. FDA. In Coyne Beahm, the District Court held that the Federal Food, Drug, and Cosmetic Act authorized the FDA to regulate tobacco products, but not tobacco advertising. The Fourth Circuit rejected the District Court's jurisdictional ruling and invalidated the FDA's regulations in their entirety. The Clinton Administration has since requested an en banc rehearing before the Fourth Circuit.


Subject(s)
Advertising , Drug and Narcotic Control , Nicotiana , Plants, Toxic , United States Food and Drug Administration , Advertising/legislation & jurisprudence , Drug and Narcotic Control/legislation & jurisprudence , Humans , United States , United States Food and Drug Administration/legislation & jurisprudence
7.
Annu Rev Public Health ; 18: 313-40, 1997.
Article in English | MEDLINE | ID: mdl-9143722

ABSTRACT

The safety of food has been an age-old concern. Early civilizations adopted laws that punished sellers of tainted food. In this country, before food safety became a responsibility of the federal government every state had enacted laws prohibiting the sale of food that contained poisonous substances. The modern scientific and legal instruments available to the US Food and Drug Administration and allied agencies have improved regulation and advances in food preparation, preservation, and storage have contributed to a safer food supply. Even so, some observers believe that contemporary threats to food safety have grown more serious, and they surely excite intense public concern. For nearly two decades Congress has been debating the adequacy of current laws governing food safety. In the closing months of the 104th Congress, both parties finally agreed on the first significant legislative change in over a generation. This chapter examines the origins of the issues that were the focus of this extended debate and analyzes the implications of their resolution.


Subject(s)
Carcinogens , Facility Regulation and Control/legislation & jurisprudence , Food Handling/standards , Food Inspection/legislation & jurisprudence , Food Supply/standards , United States Food and Drug Administration/legislation & jurisprudence , Food Additives , Food Contamination/legislation & jurisprudence , Humans , United States
9.
Health Aff (Millwood) ; 13(3): 47-69, 1994.
Article in English | MEDLINE | ID: mdl-7927161

ABSTRACT

The U.S. Food and Drug Administration's (FDA's) drug approval process has evolved from a system in which a drug could lawfully be marketed unless the FDA were able to prove that the manufacturer knew that the drug would not work for the conditions for which it was promoted to one in which drug-makers require advance approval from the agency for almost every important step in testing, production, and marketing. The more modern system for regulating medical devices is the product of amendments to the federal Food, Drug, and Cosmetic Act in 1976. In those amendments, Congress sought to create a framework for control of device technology that would also facilitate innovation. This paper suggests that, notwithstanding this aspiration, both external pressures and internal practices are inexorably bringing device regulation closer to the "drug model."


Subject(s)
Device Approval/legislation & jurisprudence , Drug Approval/legislation & jurisprudence , United States Food and Drug Administration/history , Drug Approval/history , History, 20th Century , Humans , Legislation, Drug , United States , United States Food and Drug Administration/legislation & jurisprudence
10.
Cornell Vet ; 82(1): 29-40, 1992 Jan.
Article in English | MEDLINE | ID: mdl-1740058

ABSTRACT

Between January 1972 and December 1990, bulk-tank (n = 721) and cow (n = 9,163) milk samples from dairy herds in New York State were examined by bacteriologic procedures for Mycoplasma. The organism was found in 165 herds in 42 counties, and in 2.3 and 11.7% of the tank and cow samples, respectively. Mycoplasma bovis was isolated in 164 herds, M. californicum was isolated in 1. Highest incidence of mycoplasmal clinical mastitis occurred during the winter. The disease resulted in culling of 30-70% of the cows in several herds. Eighty-six of the positive herds were located in the western part of the state. This area had more large herds (greater than 200 cows) compared to the rest of the state; however, herd size was not a risk factor. Purchased animals added to herds without quarantine, poor hygiene during mastitis treatment, and personnel in contact with mastitic cows or infected milk were involved in outbreaks and disease transmission.


Subject(s)
Mastitis, Bovine/epidemiology , Mycoplasma Infections/veterinary , Animals , Cattle , Female , Milk/microbiology , Mycoplasma/isolation & purification , Mycoplasma Infections/epidemiology , New York/epidemiology , Seasons
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