1. Are there arguments for regulating speech about drugs more comprehensively than, for example, about dietary supplements? What must an administrative record contain to sustain such a position? In particular, could FDA sustain a position that certain promotional speech about drugs is inherently misleading, unless it complies with FDA requirements? Does anything turn on whether the speech is made to learned intermediaries or to consumers? What is the evidentiary basis of such a distinction?
You, our employees, are violating our Constitution, violating the Constitution and knowing of a violatios of the Constitution is a federal felony crime! We the People will not have our employees make criminals out of us! So, cut the out of control power grab, or we will make Citizen arrests and have the Attorney General prosecute you to the full extent of the Constitutional Laws! E. Engel