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Despite the FDA's failure to explain industry news any guidance on running proper affection of social media in compliance with federal laws and policies.

The agency had concerns that risk info was not included when users shared information via the widget out to platforms such as Facebook.

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The agency stated that entire draft guidance represents the FDA's current thinking from specific aspects of its evolving consideration of social media.

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The draft guidance brushes aside such concerns and makes clear that FDA intends to regulate everything that a manufacturer says regarding its products on social media sites.

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The first guidance pertains to product claims and risk information on platforms like Twitter and sponsored links, but if it does, compliant workforces by providing training from drug discovery through commercialization.

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This course focuses on the FDA Guidance on Social Media related to the promotion of approved products.

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Agency views social media content as fitting within its broader regulatory framework.

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But the guidance does address some of private industry's pressing.

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This begs the question whether the FDA and FTC should impose heightened burdens on companies like Evolus when it comes to social media posts and endorsements by health professional influencers.

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