skills/legal/pharma-reg-summary/SKILL.md
Generates structured pharmaceutical regulatory compliance summaries covering FDA approval pathways, patent/IP intersections (Orange Book, Hatch-Waxman), and marketing restrictions (off-label, DTC, Anti-Kickback). Use when preparing FDA compliance overviews, submission readiness assessments, or promotional compliance reviews.
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Produces an actionable regulatory compliance summary structured around FDA frameworks, patent/IP strategy, and promotional compliance.
Gather before starting:
Structure every summary into three sections:
| Pathway | Requirements | Pitfalls | |---------|-------------|----------| | NDA 505(b)(1) | Full clinical data, CMC, labeling | Data integrity gaps, incomplete safety DBs | | ANDA 505(j) | Bioequivalence, Para IV certs | Improper BE design, cert errors | | BLA 351(a) | Biosimilarity/interchangeability | Analytical similarity gaps, immunogenicity | | Expedited (BT/FT/AA) | Post-market confirmatory requirements | Missing confirmatory trial milestones |
Per-product checklist:
| Framework | Authority | Key Points | |-----------|----------|------------| | Orange Book | 21 CFR 314.53 | Patent listings for drug/method of use; improper listings → antitrust risk | | Purple Book | 42 USC § 262 | Reference product exclusivity, biosimilar interchangeability | | Hatch-Waxman | 21 USC § 355(j)(2)(A)(vii) | Para I–IV certs, 30-month stay, 180-day FTF exclusivity | | Patent term extension | 35 USC § 156 | One per product; file within 60 days of approval | | Pediatric exclusivity | 21 USC § 355a | 6-month addition; written request compliance required | | NCE exclusivity | 21 USC § 355(c)(3)(E) | 5-year NCE, 3-year new clinical investigations |
Flag in every summary:
Off-label promotion — Prohibited under 21 USC § 331(d) (misbranding). Narrow exceptions: unsolicited requests (on-label redirect via medical affairs), peer-reviewed reprints under 21 USC § 360aaa. DOJ pursues under FCA theories.
Promotional materials — Fair balance required (21 CFR 202.1). Substantial evidence standard for efficacy claims. File Form FDA 2253 at first use.
Digital/social media — Follow FDA draft guidance for space-constrained formats. Monitor owned channels for misinformation. Disclose KOL/influencer arrangements per FTC + Sunshine Act.
DTC advertising — Broadcast: major statement + toll-free number/website. Print: brief summary of PI. Submit to OPDP; use Advisory Comment process for novel claims.
Financial compliance:
| Statute | Key Rules | |---------|-----------| | Anti-Kickback (42 USC § 1320a-7b) | Safe harbors: FMV compensation, written agreements, legitimate services | | Sunshine Act (42 USC § 1320a-7h) | Report transfers of value >$10; track meals, consulting, speaking | | FCA (31 USC § 3729) | Off-label promotion as predicate for FCA liability |
development
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tools
Extracts regulatory obligations from dense regulations across jurisdictions. Breaks down multi-level regulations into clear article-level obligations, classifies applicability to a business, and prioritizes by risk level. Use when translating regulations into actionable compliance requirements.
development
Continuously monitors regulatory landscapes for changes relevant to a specific business. Ingests global regulatory updates, filters by relevance, summarizes impact, and produces an actionable change advisory. Use when tracking regulatory developments affecting a particular product or market.
testing
Compares an organization's existing compliance controls, policies, and procedures against extracted regulatory obligations to identify coverage gaps. Produces a remediation plan with prioritized actions. Use when assessing compliance maturity or preparing for regulatory audits.