Comment from PMI US Corporate Services
AnonymousOpposeBusiness
Summary: PMI US Corporate Services Inc. argues that the Draft Guidance lacks sufficient regulatory clarity, fails to account for data showing declining youth tobacco use, and creates an overly burdensome evidentiary standard for flavored ENDS. The company advocates for a more transparent PMTA review process, the inclusion of specific "device access restriction" frameworks, and a comprehensive study on the role of flavors in adult smoking cessation.
PMI Corporate Services Inc. Comment to Docket No. FDA-2026-D-1817