Pamela Rheinfrank v. Abbott Laboratories

680 F. App'x 369
CourtCourt of Appeals for the Sixth Circuit
DecidedFebruary 21, 2017
Docket16-3347
StatusUnpublished
Cited by7 cases

This text of 680 F. App'x 369 (Pamela Rheinfrank v. Abbott Laboratories) is published on Counsel Stack Legal Research, covering Court of Appeals for the Sixth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Pamela Rheinfrank v. Abbott Laboratories, 680 F. App'x 369 (6th Cir. 2017).

Opinion

ROGERS, Circuit Judge.

This state-law product liability case arose from birth defects in the form of serious physical and cognitive disabilities suffered by plaintiff Rheinfrank’s child. The defects were allegedly caused by the antiepileptic drug Depakote, manufactured by defendant Abbott Laboratories, and taken by Rheinfrank while pregnant with the child. Rheinfrank contended that the labeling on the drug was not adequate. *371 The district court held that Rheinfrank’s Ohio law failure-to-warn claim—to the extent that it was based on Abbott’s failure to warn of the risk of developmental delays—was preempted by federal drug labeling law because the Food and Drug Administration had rejected label changes containing such warnings even well after Rheinfrank’s pregnancy. A jury found for Abbott on several remaining claims, and Rheinfrank appeals the overall judgment for defendant. Each of Rheinfrank’s contentions on appeal is not sufficient to warrant reversal. The district court’s preemption analysis was correct. With respect to the jury verdict, the district court did not abuse its discretion in putting limits on expert testimony related to the scope of the experts’ respective expertise, or by rejecting requested jury instructions that were repetitive, confusing, or both.

I.

For nearly her entire life Rheinfrank has suffered from epilepsy. In 1988, after a relapse of her epileptic seizures, she began taking two antiepileptic drugs, one of them Depakote. She continued that course of treatment over the next fifteen years, including the years she was pregnant with each of her first four children. Late in 2003, while she was still on her daily regimen of the two drugs, Rheinfrank became pregnant with her fifth child, M.B.D. While she was carrying M.B.D. she continued to take both antiepileptic drugs daily. In July 2004 Rheinfrank gave birth to M.B.D., who was later diagnosed with physical deformities and cognitive disabilities, including Fetal Valproate Syndrome. Those disabilities Rheinfrank now blames on her daily use of Depakote.

The Food and Drug Administration (FDA) first approved Depakote in early 1983, and, by the time Rheinfrank was first prescribed the drug in 1988, it had also been designated a Pregnancy Category D drug by the FDA, As of 2003, the drug’s label accordingly included a “Black Box Warning” cautioning about the risks the drug posed to developing fetuses:

TERATOGENICITY:
VALPROATE CAN PRODUCE TERA-TOGENIC EFFECTS SUCH AS NEURAL TUBE DEFECTS (E.G., SPINA BIFIDA). ACCORDINGLY, THE USE OF DEPAKOTE TABLETS IN WOMEN OF CHILDBEARING POTENTIAL REQUIRES THAT THE BENEFITS OF ITS USE BE WEIGHED AGAINST THE RISK OF INJURY TO THE FETUS. THIS IS ESPECIALLY IMPORTANT WHEN THE TREATMENT OF A SPONTANEOUSLY REVERSIBLE CONDITION NOT ORDINARILY ASSOCIATED WITH PERMANENT INJURY OR RISK OF DEATH (E.G., MIGRAINE) IS CONTEMPLATED. SEE WARNINGS, INFORMATION FOR PATIENTS. AN INFORMATION SHEET DESCRIBING THE TERA-TOGENIC POTENTIAL OF VALP-ROATE IS AVAILABLE FOR PATIENTS.

The “Usage and Pregnancy” section of the same label further underlined these risks:

Usage in Pregnancy
ACCORDING TO PUBLISHED AND UNPUBLISHED REPORTS, VAL-PROIC ACID MAY PRODUCE TER-ATOGENIC EFFECTS IN THE OFFSPRING OF HUMAN FEMALES RECEIVING THE DRUG DURING PREGNANCY. THERE ARE MULTIPLE REPORTS IN THE CLINICAL LITERATURE WHICH INDICATE THAT THE USE OF ANTIEPILEPTIC DRUGS DURING PREGNANCY RESULTS IN AN INCREASED INCIDENCE OF BIRTH DEFECTS IN THE OFFSPRING. ALTHOUGH *372 DATA ARE MORE EXTENSIVE WITH RESPECT TO TRIMETHA-DIONE, PARAMETHADIONE, PHE-NYTOIN, AND PHENOBARBITAL, REPORTS INDICATE A POSSIBLE SIMILAR ASSOCIATION WITH THE USE. OF OTHER ANTIEPILEPTIC DRUGS. THEREFORE, ANTIEPI-LEPSY DRUGS SHOULD BE ADMINISTERED TO WOMEN OF CHILDBEARING POTENTIAL ONLY IF THEY ARE CLEARLY SHOWN TO BE ESSENTIAL IN THE MANAGEMENT OF THEIR SEIZURES.
THE INCIDENCE OF NEURAL TUBE DEFECTS IN THE FETUS MAY BE INCREASED IN MOTHERS RECEIVING VALPROATE DURING THE FIRST TRIMESTER OF PREGNANCY. THE CENTERS FOR DISEASE CONTROL (CDC) HAS ESTIMATED THE RISK OF VALPROIC ACID EXPOSED WOMEN HAVING CHILDREN WITH SPINA BIFIDA TO BE APPROXIMATELY 1 TO 2%. OTHER CONGENITAL ANOMALIES (E.G., CRANIOFACIAL DEFECTS, CARDIOVASCULAR MALFORMATIONS AND ANOMALIES INVOLVING VARIOUS BODY SYSTEMS), COMPATIBLE AND INCOMPATIBLE WITH LIFE, HAVE BEEN REPORTED. SUFFICIENT DATA TO DETERMINE THE INCIDENCE OF THESE CONGENITAL ANOMALIES IS NOT AVAILABLE. THE HIGHER INCIDENCE OF CONGENITAL ANOMALIES IN ANTIEPILEPTIC DRUG-TREATED WOMEN WITH SEIZURE DISORDERS CANNOT BE REGARDED AS A CAUSE AND EFFECT RELATIONSHIP. THERE ARE INTRINSIC METHODOLOGIC PROBLEMS IN OBTAINING ADEQUATE DATA ON DRUG TERATO-GENICITY IN HUMANS; GENETIC FACTORS OR THE EPILEPTIC CONDITION ITSELF, MAY BE MORE IMPORTANT THAN DRUG THERAPY IN CONTRIBUTING TO CONGENITAL ANOMALIES.

Both before and during her pregnancy with M.B.D. in 2003 and 2004, Rheinfrank had received her prescription for Depakote from Dr. Dagmar Lemus, then a resident of internal medicine at Cincinnati’s Good Samaritan Hospital. Although Lemus claimed that she did not remember prescribing Depakote to Rheinfrank, she nevertheless insisted that she would have relayed the information on the Black Box warning before prescribing the drug. Le-mus further explained that she would never have relied on any promotional or other materials when deciding to prescribe the drug to Rheinfrank.

In April 2005, Abbott Laboratories 1 sent a letter to Dr. Russell Katz of the FDA to propose an update to the already-approved label for Depakote. Abbott had learned of some of the early results of a study then being led by Dr. Kimford Meador, investigating the neu-rodevelopmental effects of antiepileptic drugs like Depakote on young children (the “NEAD study”). That study uncovered preliminary evidence of “possible developmental delay in some children exposed to [Depakote] in útero.” In response to these reports Abbott put together a Prior Approval Supplement (“PAS”) that proposed changing Depa-kote’s label to “provid[e] revised information related to teratogenicity and additional information for developmental *373 delay and include revisions to the WARNINGS—Usage in Pregnancy and the Patient Information Leaflet sections.” Accompanying that supplement were two additional changes: “[a]n outline of safety-related changes for terato-genicity/developmental delay and DDI with topiramate” and “[n]ew information concerning the use of valproate in women of childbearing potential: teratogenicity and developmental delay.”

Also among the revisions Abbott proposed for Depakote’s label was the inclusion of new language under its “Usage in Pregnancy” section, reading in relevant part:

THERE ARE DATA THAT SUGGEST AN INCREASED INCIDENCE OF CONGENITAL MALFORMATIONS ASSOCIATED WITH THE USE OF VALPROIC ACID DURING PREGNANCY WHEN COMPARED WITH SOME OTHER ANTIEPILEPTIC DRUGS. THEREFORE, VALPROIC ACID SHOULD BE CONSIDERED FOR WOMEN OF CHILDBEARING POTENTIAL ONLY AFTER THE RISKS HAVE BEEN THOROUGHLY DISCUSSED WITH THE PATIENT AND WEIGHED AGAINST THE POTENTIAL BENEFITS OF TREATMENT.
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Cite This Page — Counsel Stack

Bluebook (online)
680 F. App'x 369, Counsel Stack Legal Research, https://law.counselstack.com/opinion/pamela-rheinfrank-v-abbott-laboratories-ca6-2017.