Medical Alert

Sunday, May 18,
2008
Medical Alert
Aggravated Symptom Relapses Reported after Use of
Widely-Available EMR Protection Products
Contact: Dr. George Carlo (drcarlo@safewireless.org); (202)
756-7744
Reasons for this
Advisory:
- An alarmingly high number of patients with
electro-hypersensitivity and other related conditions are reporting serious
symptom relapses after periods of time when symptoms were apparently
mitigated by use of products that claim to be protective against
electro-magnetic radiation (EMR) related disease.
- The symptom relapses are reportedly more
severe than the symptoms that defined the original illnesses – suggesting
that the patients are sicker after the use of the purported protective
products than before the use.
- We fear that consumers are being lured into a
false sense of security by their use of widely-available products purporting
to prevent disease – causing consumers to unknowingly compound the effects
of dangerous exposures by increasing their use of wireless devices.
- In the
United
States as well as globally, no steps have
been taken by either the Food and Drug Administration or any other
regulatory authority to protect patients and consumers from this apparent
danger.
- Thus, our intent is to empower consumers to
protect themselves in this regard.
Scientific
Underpinning:
- Several patients with
electro-hypersensitivity and other conditions associated in the scientific
literature with EMR exposure in all effect windows are reporting symptom
relapses that are believed to be more severe than the symptoms that led to
their original diagnosis.
- These patients, being treated by
clinicians in our contact network, also report having used products
widely available on the open market that claim to mitigate, neutralize,
counteract, eliminate, or otherwise protect against harmful effects of EMR,
without the benefit of careful clinical
supervision.
- The average time of using these products
before the symptom relapses occured is reported in the range of nine to 18
months.
- There is biological plausibility
supporting these reports of adverse reactions.
- The mechanisms of harm now believed to
be associated with EMR disease underscore the need to comprehensively and
simultaneously address mitigation of exposure, amelioration of symptoms
and repair of biological damage done by prolonged exposure to
EMR
- When symptoms are not addressed
comprehensively – for example, using symptom amelioration without
simultaneous elimination of exposure – cell membrane adverse reaction and
damage continue to occur while the patient is assuming the cause of the
problem has been eliminated.
This lulls patients into a false sense of security, causing them to
aggravate their exposures through increased use of their wireless devices.
When the damage reaches a critically harmful level, even the symptom
amelioration can no longer be sustained by the damaged
cells.
- Pregnant women are a special concern
in view of recent data showing damage to the fetus in the form of both
altered secondary sex ratio and latent appearance of adolescent behavioral
problems. Low levels of EMR exposure have been reported in these
studies – suggesting impacts of even subtle amounts of extraneous energy
on fetal development. This suggests that products that produce subtle
energy as intervention would be biologically active as well, and
especially dangerous to the developing
fetus.
What Can Patients and Consumers Do to
Protect Themselves?
- Be Empowered by the Knowledge That Product Testing
Standards Exist For Your Benefit and Demand That Protection from Those
Selling You Products.
- Whether or not a product is regulated
by a government agency, any company selling a product has a legal
responsibility to warn consumers of potential dangers. Obtaining the necessary knowledge
requires specifically focused scientific study addressing both the safety
parameters of the product and the usefulness (efficacy) of its action in
preventing or treating disease.
This is a product liability requirement for all companies engaged
in the sale of products that have biological, chemical or physical
activity.
- Note that if a product does not have
biological, chemical or physical activity, it by definition can not have a
beneficial effect in mitigating disease – because mitigation requires
biological, chemical or physical action. Thus, any product that claims to
mitigate disease or symptoms is required by law to have supportive
science.
- There are international standards of
care that define acceptable parameters for safety and efficacy
studies. These guidelines can
be obtained from the United States Food and Drug Administration (FDA) and
other similar agencies around the world.
- The most relevant requirements of the
FDA and similar agencies around the world with regard to product testing
standards intended to protect consumers and standards to which consumers
are legally entitled, include the following:
- The FDA and similar agencies make
decisions about approving products through review of scientific data,
submitted by product companies, that attest to company claims of both
the safety of the product
(whether or not it produces adverse reactions such as those reported
here), and the efficacy
(usefulness) in preventing or treating symptoms and disease.
- Safety Studies: Whenever a company makes a claim
of efficacy, there is a presumption the product has biological, chemical
or physical activity. As
such, there is a presumption of potential harm or danger coming from the
product if it is misused.
The company must therefore address, through science, problems
that could occur: if the product is administered in doses that are
too high; if administered in an inappropriate manner; or if administered
along with other interventions or drugs that may cause an adverse
reaction because of combination
effects.
- Efficacy Studies: Specific applications of the
product need to be addressed in the pre-market research. Only those uses supported by
science can be legally promoted by the company. Other uses – called off label
uses – carry stiff monetary and criminal
penalties.
- To ensure the integrity and honesty
of the company-submitted science, the FDA requires that all studies
follow internationally accepted standards of Good Laboratory Practices
(GLP) and Good Clinical Practices (GCP). Studies that do not meet these
requirements are not considered by the FDA in decision making because
those studies are presumed to be suspect or
flawed.
- Even with these pre-market testing
requirements in place, problems can be missed and mistakes can be
made. Thus, the FDA also
requires post-market surveillance where adverse reactions to products
that have been previously approved are catalogued and reported – first
to the FDA and then to the public.
- Demand to See Proof of Safety and Efficacy Before Buying or Using Any Product that
Claims Protection.
- Consumers have a right to the highest
standard of care from those who claim to have either preventive or
therapeutic interventions for EMR hazards, irrespective of whether or not
the FDA or another agency requires that specific studies be done prior to
marketing and sale. An honest
company acting in integrity will do the work required to protect those who
use their products – and then be proud to let consumers know the results
of their work. Product
inserts and package labeling should contain enough information to insure
that consumer rights are not being
violated.
- Before buying or using any EMR
intervention product, consumers should:
- Require proof in product inserts or
on packaging that studies of safety have been completed according to
acceptable scientific protocols, including independent peer review as
evidenced by either publication in peer reviewed journals or by
disclosure of the names of the independent peer
reviewers.
- Require proof in product inserts or
on packaging that those studies of safety address: dosing specific to the
manner in which the intervention is used; contraindications – especially
with regard to young children and pregnant women; specific
administration protocols for both symptomatic and non-symptomatic
potential users; and proof that the studies have been corroborated by
different laboratories or investigators.
- Require proof in product inserts or
on packaging that studies of efficacy have been completed according to
acceptable scientific clinical protocols – also including evidence of
independent peer review and corroboration of findings. The studies should include clear
written documentation of the mechanisms through which the products are
supposed to work in preventing or treating
conditions.
- Require proof in product inserts or
on packaging that a program of post-market monitoring of adverse
reactions exists as well as procedures to notify and warn consumers of
problems when necessary.
- If You are Symptomatic, Do Not Self Medicate or Take
Advice on Your Condition from People Selling Products Who Are Not Clinically
Qualified or Otherwise Professionally Knowledgeable of EMR Health Effects
and Mitigation.
- Any person with symptoms of
electro-hypersensitivity, including multiple chemical sensitivities,
Autism, ADHD, anxiety syndrome, Parkinson's, alcoholism, drug addiction
and Alzheimer's should only use EMR intervention products with appropriate
guidance from a qualified clinician.
- The underlying pathologies in these
conditions are similar and thus require careful monitoring whenever EMR
targeted interventions are added.
If this is not done, severe adverse reactions can occur – sometimes
as part of the normal healing process, and sometimes not. Only qualified professionals can
identify which is
which.