For Release: June 29, 2000
"Operation
Cure.all" Nets Shark Cartilage Promoters: Two Companies Charged with
Making False And Unsubstantiated Claims for Their Shark Cartilage And
Skin Cream as Cancer Treatments
Settlement Includes One Million Dollar Judgment
Lane
Labs-USA, Inc., Cartilage Consultants, Inc. and their principals have
agreed to settle Federal Trade Commission charges that they made
unsubstantiated claims about the efficacy of two products -- BeneFin
and SkinAnswer - in the prevention, treatment and cure of cancer.
According to the FTC, the two companies engaged in a common enterprise
to deceptively market BeneFin - a shark cartilage product -- and
SkinAnswer - a skin cream - to consumers as cancer treatments. The FTC
alleged that in addition to the unsubstantiated efficacy claims, the
defendants falsely represented that clinical studies have shown that
BeneFin and SkinAnswer are effective in preventing, treating, and
curing cancer, and falsely represented that the Food and Drug
Administration has evaluated the effectiveness of BeneFin. In separate
settlements, both companies would be prohibited from making
unsubstantiated health-related claims about any food, drug or dietary
supplement. In addition, the proposed settlement with Lane Labs and its
president Andrew J. Lane includes a $1,000,000 judgment.
The
settlements announced today are part of "Operation Cure.All," an
ongoing federal and state law enforcement and consumer education
campaign targeting false and unsubstantiated health claims on the
Internet. "Many consumers and caregivers dealing with diagnosis of
cancer pin their hopes on treatments they find on the Internet," said
Jodie Bernstein, Director of the FTC's Bureau of Consumer Protection.
"This settlement proves yet again that the FTC doesn't tolerate
unfounded claims. We urge consumers to check with their physicians
before they buy any products to prevent, treat or cure cancer -- or
frankly any disease."
To date, the FTC has filed seven
"Operation Cure.All" law enforcement actions, sent more than 800
advisory letters to Internet companies making questionable health
claims, and distributed tips to consumers on how to spot cyber health
fraud. These tips can be found on the Internet at www.ftc.gov/bcp/menu-health.htm.
The
FTC's complaint names Lane Labs-USA, based in Allendale, New Jersey,
and its president, Andrew J. Lane, and Cartilage Consultants, Inc.,
based in Short Hills, New Jersey, and its president, I. William Lane.
The complaint alleges that Lane Labs manufactured and distributed the
two products, and that Cartilage Consultants supplied consumers with
information on how to use these products to treat cancer. According to
the complaint, the defendants, acting as a common enterprise,
advertised, promoted, sold and distributed BeneFin and SkinAnswer to
consumers throughout the United States via the Internet and other
means. The complaint also alleges that Lane Labs embedded terms such as
"non-toxic cancer therapy," "cancer treatment" and "cancer survivor" in
its Web site's "metatags," thereby increasing the likelihood that
consumers searching the Internet for information about effective cancer
treatments would find information about BeneFin, SkinAnswer, and other
Lane Labs products.
The FTC alleged that, through
advertising and promotional materials, including the Lane Labs Web site
metatags, the defendants represented that BeneFin was effective in the
prevention, treatment, and/or cure of cancer, and that SkinAnswer was
effective in the prevention, treatment, and/or cure of skin cancer,
without having adequate scientific substantiation. The FTC also alleged
that the defendants falsely represented that BeneFin and SkinAnswer
were clinically proven to treat and/or cure cancer, and that the Food
and Drug Administration had evaluated the effectiveness of BeneFin.
The
FTC has filed two Stipulated Final Orders (one with Lane Labs and
Andrew Lane and the other with Cartilage Consultants and William Lane)
in settlement of the charges. Both orders would prohibit the
defendants, when marketing any food, drug or dietary supplement, from:
- representing
that BeneFin or any other shark cartilage product prevents, treats or
cures cancer, unless they have evidence to substantiate such claims;
- representing
that SkinAnswer, or any other glycoalkaloid product, prevents, treats
or cures skin cancer, unless they have evidence to substantiate such
claims; or
- making any unsubstantiated health-related claims about any food, drug or dietary supplement.
The
orders also would prohibit the defendants from making false claims
about the existence, content or results of any tests, studies, or
research in connection with the marketing of any food, drug, or dietary
supplement, and from misrepresenting that any government agency has
evaluated the efficacy or safety of any food, drug, or dietary
supplement when marketing such product.
In addition, the
order with Lane Labs includes a $1 million judgment, which requires the
company to pay $550,000 to the FTC within 10 days after the stipulated
order is entered by the court and to use the remaining $450,000 to pay
for shark cartilage and a placebo in a clinical study of shark
cartilage sponsored by the National Cancer Institute and Lane Labs.
The settlements also contain various record keeping provisions to assist the FTC in monitoring the defendants' compliance.
The
Commission vote authorizing staff to file the complaint and stipulated
final orders was 5-0, with Commissioner Orson Swindle issuing a
separate statement concurring in part and dissenting in part and
Chairman Robert Pitofsky and Commissioner Mozelle Thompson issuing a
separate statement. According to Commissioner Swindle's statement,
although he agrees that spending money on cancer research promotes the
general welfare, he does not support allowing Lane Labs to use its
assets to fund a clinical trial of shark cartilage. Commissioner
Swindle explained that "instead of requiring that Lane Labs pay the
entire $1,000,000 judgment into a fund for consumer redress, the
Commission allows Lane Labs to use $450,000 of the judgment to pay for
a clinical trial that could help substantiate its efficacy claims." The
Commission therefore is permitting "an advertiser that abused consumers
to use proceeds from its abuse" to pay for testing that the advertiser
was legally obligated to conduct before it ever made its claims. "In my
view," Commissioner Swindle said, "it is not in the public interest for
the Commission to create an incentive for advertisers to violate the
law" by not substantiating their claims prior to dissemination.
In
their statement, Chairman Pitofsky and Commissioner Thompson said that
they "appreciate the concerns raised by Commission Swindle regarding an
order provision that allows defendant Lane Labs-USA, Inc. to pay
$450,000 to provide shark cartilage for the National Cancer Institute's
("NCI") clinical trial to determine whether shark cartilage is
effective in treating cancer. When NCI undertakes a clinical trial, the
government funds the study after extensive review but does not
typically fund acquisition of the product." In their view, "it is
highly unusual - and likely to remain the exception - to direct money
to help fund clinical trials." Given the importance of evaluating shark
cartilage as a therapy, however, they believe "the public interest is
best served by the approach taken here."
The proposed
settlements were filed in the U.S. District Court, District of New
Jersey in Newark on June 28, 2000 and are subject to court approval.
Bernstein
also expressed the agency's appreciation for the assistance of the New
Jersey Attorney General's Office and the Office of the U.S. Attorney
for the District of New Jersey in its investigation.
NOTE:
Stipulated final orders are for settlement purposes only and do not
constitute an admission by the defendants of a law violation. Final
orders have the force of law when signed by the judge.
Copies
of the complaint and stipulated final orders will be available shortly.
Copies of the news release, Commissioner Orson Swindle's statement, and
the statement of Chairman Robert Pitofsky and Commissioner Mozelle
Thompson are available from the FTC's web site at http://www.ftc.gov and
also from the FTC's Consumer Response Center, Room 130, 600
Pennsylvania Avenue, N.W., Washington, D.C. 20580; 877-FTC-HELP
(877-382-4357); TDD for the hearing impaired 1-866-653-4261. To find
out the latest news as it is announced, call the FTC NewsPhone
recording at 202-326-2710.
- Media Contact:
- Brenda Mack,
Office of Public Affairs
202-326-2182 - Staff Contact:
- Darren A. Bowie or Richard Cleland
Bureau of Consumer Protection
202-326-2018 or 202-326-3088
(FTC File No. 982 3558)
(Civil Action No.: Not Available at Press Time)