BILL ANALYSIS                                                                                                                                                                                                    



                                                                  SB 364
                                                                  Page  1

          Date of Hearing:   June 30, 2009

                            ASSEMBLY COMMITTEE ON HEALTH
                                  Dave Jones, Chair
                     SB 364 (Florez) - As Amended:  June 23, 2009

           SENATE VOTE  :   21-15
           
          SUBJECT  :   Health facilities: cancer centers.

           SUMMARY  :   Prohibits that an officer, director, or member of a  
          governing board of a general acute care hospital designated by  
          the National Cancer Institute (NCI) as a comprehensive cancer  
          center, and that accepts state funds, from holding a position as  
          an officer, director, or member of the board, or a similar  
          position, of a specified corporation.  Specifically,  this bill  :

          1)Prohibits an officer, director, or member of a governing board  
            of a general acute care hospital that is designated by NCI as  
            a comprehensive cancer center to conduct cancer research and  
            treatment, and that accepts state funds, from holding a  
            position as any of the following:

             a)   An officer, director, or member of the board, or a  
               similar position, of a "corporation that manufactures or  
               sells tobacco products" defined as: licensed clinics or  
               health facilities; pharmacies licensed pursuant to the  
               Pharmacy Law that derive revenue from tobacco; and, any  
               entity that derives more than 1% of its annual revenue from  
               tobacco products. 

             b)   An officer, director, or member of the board, or a  
               similar position, of a corporation that has, within the  
               past five years, violated federal or state controlled  
               substances laws or regulations; or,

             c)   An officer, director, member of the board, or similar  
               position for a biopharmaceutical company that focuses on  
               the discovery, development, and commercialization of  
               therapeutic products for diseases such as diabetes and  
               cancer.

          2)Makes legislative declarations that it is misleading for a  
            general acute care hospital that is designated as a  
            comprehensive cancer center, and that is provided resources by  








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            the state, to employ officers and directors who profit from  
            the sale and distribution of tobacco products.  Finds that  
            such a hospital should seek to ensure that its directors and  
            officers do not profit from the consumption of tobacco  
            products, do not render services to corporations that have  
            violated federal or state laws, and do not engage in work that  
            could affect the hospital's unbiased research and review of  
            the efficacy of new drugs or therapeutic products for diseases  
            such as diabetes and cancer.

           EXISTING LAW :

          1)Provides for the licensing and regulation of health care  
            facilities, including general acute care hospitals, acute  
            psychiatric hospitals, and special hospitals by the Department  
            of Public Health (DPH).

          2)Provides that an application for licensure as a health care  
            facility may be denied by DPH if the applicant, or a  
            significant officer, director, or shareholder, if the  
            applicant is a firm, partnership, corporation or public  
            entity, has been convicted of a crime, as defined, or  
            knowingly makes a false statement of fact in an application  
            for such licensure.

          3)Requires DPH to consider several factors concerning an  
            applicant seeking licensure of a health care facility,  
            including whether the applicant is of reputable and  
            responsible character and has the ability to comply with state  
            and federal licensing laws and regulations, as specified.

           FISCAL EFFECT  :   According to the Senate Appropriations  
          Committee, pursuant to Senate Rule 28.8, negligible state costs.

           COMMENTS  :    

           1)PURPOSE OF THIS BILL  .  According to the author, this bill is  
            intended to prevent cancer research and treatment facilities  
            that receive state funds from employing or appointing officers  
            and directors who hold positions in corporations that profit  
            from the sale and distribution of tobacco products, who hold  
            positions in corporations that have violated federal or state  
            controlled substances laws and regulations or who hold  
            positions in biopharmaceutical companies that focus on the  
            discovery, development, and commercialization of therapeutic  








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            products for diseases such as diabetes and cancer.  

          The author cites the City of Hope as an example of a cancer  
            research center that receives millions of dollars each year in  
            state funds, through the Medi-Cal program, to engage in cancer  
            research and treatment.  The author maintains that the  
            President and CEO of City of Hope sits on the board of the  
            Rite Aid Corporation, a large drugstore chain that also sells  
            tobacco products in its pharmacies, and which recently agreed  
            to pay $5 million to settle claims of alleged violations of  
            the federal Controlled Substances Act.  The author notes that  
            Rite Aid has also been targeted by several states' attorneys  
            general for its poor record of selling tobacco products to  
            minors, and has agreed to work with 20 states to enact  
            policies to curb this practice.  The author further states  
            that the City of Hope is also required to provide unbiased  
            research and review of the efficacy of new drugs or  
            therapeutic products for diseases such as cancer.  However,  
            according to the author, the President and CEO of the City of  
            Hope sits on the board of a pharmaceutical company that  
            develops and produces the very drugs that the hospital is  
            obligated to review from time-to-time.  

          The author argues that the State of California advocates, as a  
            matter of public policy, reduction in overall tobacco  
            consumption - particularly consumption by minors.  The author  
            also maintains that the state supports, through the Medi-Cal  
            program, health facilities that engage in cancer research and  
            treatment and that, therefore, it is highly unethical and  
            potentially unlawful for a cancer research and treatment  
            facility to employ officers or directors that also profit from  
            the sale and distribution of tobacco products.

           2)ENTITIES THAT SELL TOBACCO PRODUCTS  .  There are a number of  
            entities in California that sell tobacco products.  According  
            to 2005 data collected by the California Tobacco Survey (CTS),  
            convenience stores and gas stations accounted for 53% of  
            cigarette sales in California, liquor stores and pharmacies  
            accounted for 17.5%, tobacco discount stores accounted for  
            15%, supermarkets accounted for 5%, and other discount stores  
            accounted for 4%.  Retailers selling tobacco products have  
            been subject to numerous efforts to discontinue sales of  
            cigarettes and tobacco products and to implement tougher  
            measures to guard against sales to minors.  Many large  
            retailers, such as Target, have voluntarily discontinued  








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            sales.
           
          3)PHARMACY VIOLATIONS OF THE CONTROLLED SUBSTANCES ACT  .  Enacted  
            in 1970, the federal Controlled Substances Act (CSA),  
            establishes procedures that must be followed by drug  
            manufacturers, researchers, physicians, pharmacists, and  
            others involved in the manufacture, distribution, prescribing,  
            and dispensing of controlled drugs.  These procedures provide  
            for accountability for a drug from its initial production  
            through distribution to the patient, and are intended to  
            reduce widespread diversion of controlled drugs from  
            legitimate medical or scientific use.  CSA creates five  
            Schedules (classifications), with varying qualifications for a  
            substance to be included in each.  Two federal agencies, the  
            federal Drug Enforcement Administration (DEA) and the Food and  
            Drug Administration, determine which substances are added or  
            removed from the various schedules.  Classification decisions  
            are required to be made on criteria including potential for  
            abuse, currently accepted medical use in treatment in the  
            United States and international treaties.

          Earlier this year, Rite Aid and nine of its subsidiaries in  
            eight states agreed to pay $5 million to settle charges that  
            the company violated provisions of CSA.  Among the allegations  
            that DEA lodged were that Rite Aid pharmacies had knowingly  
            filled prescriptions for pseudoephedrine that weren't for  
            legitimate medical purpose.  Violations were found at Rite Aid  
            pharmacies in California, Kentucky, New Jersey, New York,  
            Maryland, Michigan, Pennsylvania, and Virginia.  To settle the  
            charges, Rite Aid is taking several steps to ensure that it is  
            in compliance with the CSA, and with DEA regulations,  
            including auditing each pharmacy to make sure controlled  
            substances are secured, and implementing a system linking all  
            sales transactions involving pseudoephedrine or ephedrine, for  
            each of its retail locations.
           
          4)NCI-DESIGNATED CANCER CENTERS  .  There are currently 63 medical  
            research centers nationally that have received designation by  
            NCI as cancer centers, including 10 in California that are  
            actively engaged in trans-disciplinary research to reduce  
            cancer incidence, morbidity, and mortality.  The  
            NCI-designated cancer centers are a major source of research  
            on the nature of cancer and of the development of more  
            effective approaches to cancer prevention, diagnosis, and  
            therapy.  The NCI- designated cancer centers also deliver  








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            medical treatment to patients, educate health-care  
            professionals and the public, and must serve underserved  
            populations.  The centers use their federal grant funds to  
            foster greater interaction between basic laboratory, clinical,  
            and population-based medical professionals and scientists, and  
            provide a forum for investigators to access services and  
            technologies that are necessary to their research efforts.   
            Requests for funding from eligible institutions are subjected  
            to a competitive peer review process that evaluates and ranks  
            applications according to their merit.

           5)SUPPORT  .  The California Medical Association (CMA) supports  
            this bill.  CMA states that, due to the serious inherent  
            health risks from smoking, CMA physicians strongly discourage  
            smoking and support ways to restrict minors' access to tobacco  
            products to prevent their becoming addicted and that the  
            organization has long called for hospitals, pharmacies, and  
            other establishments where health care services are delivered  
            to refrain from selling or allowing the consumption of tobacco  
            products on its premises.  CMA argues that the relationships  
            pondered by this bill are not only unacceptable conflicts of  
            interest but also are of dubious benefit to patients and may  
            in fact cause harm.  CMA maintains that no health entity  
            should be affiliated with any person or entity that profits  
            from tobacco addiction and certainly not cancer research  
            hospitals. 

           6)OPPOSITION  .  The California Chamber of Commerce, the  
            California Grocers Association, and the California Retailers  
            Association are opposed to this bill.  The opposition argues  
            that the sale of tobacco products is legal in California and  
            that prohibiting individuals associated with tobacco from  
            serving their communities is an over-reaching government  
            intrusion.  The opposition also argues that this bill presents  
            a slippery slope to other legal products and forcing the  
            removal and barring the appointment of these individuals from  
            service on boards does not benefit the community.

           7)DRAFTING CLARIFICATION  :

             a)   The most recent amended version of this bill deleted the  
               reference to clinics or health facilities that derive  
               revenue from tobacco products and instead makes reference  
               to all clinics or health facilities.  The author may wish  
               to clarify the intention of including all licensed clinic  








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               or health facilities whether or not they derive any  
               revenues from tobacco.

             b)   The author may wish to define what is meant by a  
               biopharmaceutical company.

           REGISTERED SUPPORT / OPPOSITION  :
                                               
           Support 
           
          California Medical Association

           Opposition 
           
          California Chamber of Commerce
          California Grocers Association
          California Retailers Association


           Analysis Prepared by  :    Tanya Robinson-Taylor / HEALTH / (916)  
          319-2097