[Federal Register Volume 90, Number 54 (Friday, March 21, 2025)]
[Notices]
[Pages 13371-13375]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2025-04860]


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DEPARTMENT OF HEALTH AND HUMAN SERVICES

Food and Drug Administration

[Docket No. FDA-2025-N-0648]


Over-the-Counter Monograph Drug User Fee Program--Facility Fee 
Rates for Fiscal Year 2025

AGENCY: Food and Drug Administration, HHS.

ACTION: Notice.

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SUMMARY: The Food and Drug Administration (FDA, the Agency, or we) is 
announcing the over-the-counter (OTC) monograph drug facility (MDF) fee 
rates under the OTC monograph drug user fee program (OMUFA) for fiscal 
year (FY) 2025. The Federal Food, Drug, and Cosmetic Act (FD&C Act) 
authorizes FDA to assess and collect user fees from qualifying 
manufacturers of OTC monograph drugs and submitters of OTC monograph 
order requests (OMORs). This notice publishes the OMUFA facility fee 
rates for FY 2025.

DATES: These facility fees are effective on October 1, 2024, and will 
remain in effect through September 30, 2025.

FOR FURTHER INFORMATION CONTACT: Olufunmilayo Ariyo, Office of 
Financial Management, Food and Drug Administration, 10903 New Hampshire 
Ave., Silver Spring, MD 20993, 240-402-4989; or the User Fees Support 
Staff at [email protected].

SUPPLEMENTARY INFORMATION:

I. Background

    Section 744M of the FD&C Act (21 U.S.C. 379j-72), authorizes FDA to 
assess and collect: (1) facility fees from qualifying owners of OTC 
monograph drug facilities and (2) fees from submitters of qualifying 
OTC OMORs. The OTC OMOR fee rates for FY 2025 were published on July 
31, 2024.\1\ OMUFA fees are to support FDA's OTC monograph drug 
activities, which are detailed in section 744L(6) of the FD&C Act (21 
U.S.C. 379j-71(6)) and include various FDA activities associated with 
OTC monograph drugs. For OMUFA purposes:
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    \1\ https://www.federalregister.gov/documents/2024/07/31/2024-16878/over-the-counter-monograph-drug-user-fee-program-otc-monograph-order-request-fee-rates-for-fiscal.
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     An OTC monograph drug is a nonprescription drug without an 
approved new drug application that is governed by the provisions of 
section 505G of the FD&C Act (21 U.S.C. 355h) (see section 744L(5) of 
the FD&C Act);
     An OTC MDF is a foreign or domestic business or other 
entity that, in addition to meeting other criteria, is engaged in 
manufacturing or processing the finished dosage form of an OTC 
monograph drug (see section 744L(10) of the FD&C Act); and
     A contract manufacturing organization (CMO) facility is an 
OTC monograph drug facility where neither the owner nor any affiliate 
of the owner or facility sells the OTC monograph drug produced at such 
facility directly to wholesalers, retailers, or consumers in the United 
States (see section 744L(2) of the FD&C Act).
    Under section 744M(a)(1)(A) of the FD&C Act, a facility fee for FY 
2025 shall be assessed with respect to each facility that is identified 
as an OTC monograph drug facility during the fee-liable period from 
January 1, 2024, through December 31, 2024.\2\ Consistent with the 
statute, FDA will assess and collect facility fees with respect to the 
two types of OTC monograph drug facilities--MDF and CMO facilities. A 
full facility fee will be assessed to each qualifying person that owns 
a facility identified as an MDF (see section 744M(a)(1)(A) of the FD&C 
Act), and a reduced facility fee of two-thirds will be assessed to each 
qualifying person that owns a facility identified as a CMO facility 
(see section 744M(a)(1)(B)(ii) of the FD&C Act). The facility fees for 
FY 2025 are due on June 2, 2025 (see section 744M(a)(1)(D)(ii) of the 
FD&C Act).\3\
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    \2\ Under section 744M(a)(1) of the FD&C Act, ``Each person that 
owns a facility identified as an OTC monograph drug facility on 
December 31 of the fiscal year or at any time during the preceding 
12-month period shall be assessed an annual fee for each such 
facility.'' For purposes of FY 2025 facility fees, that time period 
is January 1, 2024, through December 31, 2024.
    \3\ Assuming that, as we anticipate, the FY 2025 fee 
appropriation will occur prior to June 3, 2025. Under section 
744M(a)(1)(D)(ii), the FY 2025 facility fees are due on the later 
of: (1) the first business day of June 2025 (i.e., June 3, 2025) or 
(2) the first business day after the enactment of an appropriations 
Act providing for the collection and obligation of FY 2025 OMUFA 
fees.
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    As discussed in greater detail below:
     OTC monograph drug facilities are exempt from FY 2025 
facility fees if they had ceased OTC monograph drug activities, and 
updated their registration with FDA to that effect, prior to December 
31, 2023 (see section 744M(a)(1)(B)(i) of the FD&C Act).
     Entities that registered with FDA during the Coronavirus 
Disease 2019 (COVID-19) pandemic whose sole activity with respect to 
OTC monograph drugs during the pandemic consisted of manufacturing OTC 
hand sanitizer

[[Page 13372]]

products \4\ and had ceased manufacturing hand sanitizer products and 
delisted and deregistered in FDA's Electronic Drug Registration and 
Listing System (eDRLS) accordingly before 12 a.m. Eastern Time on 
December 31, 2024, are not identified as OTC monograph drug facilities 
subject to OMUFA facility fees for FY 2025.\5\
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    \4\ The term ``hand sanitizer'' commonly refers to consumer 
antiseptic rubs. However, because the Department of Health and Human 
Services (HHS) notice published January 12, 2021, referred to 
``persons that entered the over-the-counter drug market to supply 
hand sanitizer products in response to the COVID-19 Public Health 
Emergency'' (86 FR 2420, https://www.federalregister.gov/documents/2021/01/12/2021-00237/notice-that-persons-that-entered-the-over-the-counter-drug-market-to-supply-hand-sanitizer-during), we are using 
the same terminology--``hand sanitizer products''--to refer to OTC 
monograph drug products intended for use (without water) as 
antiseptic hand rubs or antiseptic hand wipes by consumers or 
healthcare personnel.
    \5\ See HHS Federal Register notice of January 12, 2021, 86 FR 
2420, https://www.federalregister.gov/documents/2021/01/12/2021-00237/notice-that-persons-that-entered-the-over-the-counter-drug-market-to-supply-hand-sanitizer-during.
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    For FY 2025, the OMUFA facility fee rates are: MDF facility fees 
($37,556) and CMO facility fees ($25,037). These fees are effective for 
the period from October 1, 2024, through September 30, 2025.\6\ This 
document is issued pursuant to section 744M(a)(4) and 744M(c)(4)(B) of 
the FD&C Act and describes the calculations used to set the OMUFA 
facility fees for FY 2025 in accordance with the directives in the 
statute.
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    \6\ These OMUFA facility fees are for FY 2025, per section 
744M(a) of the FD&C Act.
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II. Facility Fee Revenue Amount for FY 2025

A. Base Fee Revenue Amount

    Under OMUFA, FDA sets annual facility fees to generate the total 
facility fee revenues for each fiscal year established by section 
744M(b) of the FD&C Act. The yearly base revenue amount is the starting 
point for setting annual facility fee rates. The base revenue for FY 
2025 is the dollar amount of the total revenue amount for the previous 
fiscal year, without certain adjustments made for that previous year, 
and is $29,253,365 (see section 744M(b)(3)(B) of the FD&C Act).

B. Fee Revenue Adjustment for Inflation

    Under OMUFA, the annual base revenue amount for facility fees is 
adjusted for inflation for FY 2025, per section 744M(c)(1) of the FD&C 
Act. That provision states that the dollar amount of the inflation 
adjustment is equal to the product of the annual base revenue for the 
fiscal year and the inflation adjustment percentage. For FY 2025 the 
inflation adjustment percentage is the sum of:
     (I) the average annual percent change in cost, per full-
time equivalent (FTE) position of FDA, of all personnel compensation 
and benefits paid with respect to such positions for the first 3 years 
of the preceding 4 fiscal years, multiplied by the proportion of 
personnel compensation and benefits (PC&B) costs to total costs of the 
OTC monograph drug activities for the first 3 years of the preceding 4 
fiscal years (see section 744M(c)(1)(C)(ii)(I) of the FD&C Act); and
     (II) the average annual percent change that occurred in 
the Consumer Price Index (CPI) for urban consumers (Washington-
Baltimore, DC-MD-VA-WV; Not Seasonally Adjusted; All items; Annual 
Index) for the first 3 years of the preceding 4 years of available data 
multiplied by the proportion of all costs other than personnel 
compensation and benefits costs to total costs of OTC monograph drug 
activities for the first 3 years of the preceding 4 fiscal years (see 
section 744M(c)(1)(C)(ii)(II) of the FD&C Act).
    As a result of a geographical revision made by the Bureau of Labor 
and Statistics in January 2018, the ``Washington, DC-Baltimore'' index 
was discontinued and replaced with two separate indices (i.e., the 
``Washington-Arlington-Alexandria'' and ``Baltimore-Columbia-Towson'' 
indices). To continue applying a CPI that best reflects the geographic 
region in which FDA is located and that provides the most current data 
available, the ``Washington-Arlington-Alexandria'' index is used in 
calculating the inflation adjustment percentage.
    Table 1 summarizes the actual cost and FTE data for the specified 
fiscal years, provides the percent changes from the previous fiscal 
years, and provides the average percent changes over the first 3 of the 
4 fiscal years preceding FY 2025. The 3-year average is 3.8539 percent.

          Table 1--FDA Personnel Compensation and Benefits (PC&B) Each Fiscal Year and Percent Changes
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               Fiscal year                      2021              2022              2023         3-Year average
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Total PC&B..............................     3,039,513,000     3,165,477,000     3,436,513,000           3.8539%
Total FTE...............................            18,501            18,474            18,729
PC&B per FTE............................           164,289           171,348           183,486
Percent Change From Previous Year.......           0.1811%           4.2967%           7.0838%
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    Under the statute, this 3.8539 percent is multiplied by the 
proportion of PC&B costs to the total FDA costs of OTC Monograph drug 
activities for the first 3 years of the preceding 4 fiscal years (see 
section 744M(c)(1)(C)(ii) of the FD&C Act).
    Table 2 shows the PC&B and the total obligations for OTC monograph 
drug activities for the first 3 of the preceding 4 fiscal years.

                    Table 2--PC&B as a Percent of Total Cost of OTC Monograph Drug Activities
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               Fiscal year                      2021              2022              2023         3-Year average
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Total PC&B..............................        23,133,775        25,415,237        39,133,075          58.1262%
Total Costs.............................        35,030,659        49,644,273        68,480,052
PC&B Percent............................          66.0378%          51.1947%          57.1452%
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    The payroll adjustment is 3.8539 percent from table 1 multiplied by 
58.1262 percent from table 2 resulting in 2.2401 percent.
    Table 3 provides the summary data for the percent changes in the 
specified

[[Page 13373]]

CPI for the Washington-Arlington-Alexandria, DC-VA-MD-WV. The data are 
published by the Bureau of Labor Statistics on its website: https://data.bls.gov/pdq/SurveyOutputServlet?data_tool=dropmap&series_id=CUURS35ASA0,CUUSS35ASA0.


 Table 3--Annual and 3-Year Average Percent Change in CPI for Washington-Arlington-Alexandria, DC-VA-MD-WV Area
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                  Year                          2021              2022              2023         3-Year average
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Annual CPI..............................            277.73            296.12            305.32           4.5616%
Annual Percent Change...................           3.9568%           6.6212%           3.1069%
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    The statute specifies that this 4.5616 percent be multiplied by the 
proportion of all costs other than PC&B to total costs of OTC monograph 
drug activities for the first 3 years of the preceding 4 fiscal years. 
Because 58.1262 percent was obligated for PC&B (as shown in table 2), 
41.8738 percent is the portion of costs other than PC&B (100 percent 
minus 58.1262 percent equals 41.8738 percent). The nonpayroll 
adjustment is 4.5616 percent times 41.8738 percent, or 1.9101 percent.
    Next, we add the payroll adjustment (2.2401 percent) to the 
nonpayroll adjustment (1.9101 percent), for a total inflation 
adjustment of 4.1502 percent (rounded) for FY 2025.
    Pursuant to the statute, the FY 2025 base revenue of $29,253,365 is 
increased by the total inflation adjustment of 4.1502 percent, yielding 
an inflation adjusted base revenue amount of $30,467,438 for FY 2025 
(see section 744M(c)(1)(A)).

C. Additional Dollar Amounts

    For FY 2025, the inflation adjusted revenue amount of $30,467,438 
is increased by an additional dollar amount of $3 million as specified 
in the statute (see section 744M(b)(2)(E) of the FD&C Act). This yields 
an adjusted fee revenue subtotal of $33,467,438.

D. Fee Revenue Adjustment for Additional Direct Cost

    Fee revenue is further adjusted for additional direct costs as 
specified in the statute. In FY 2025, $3 million is added to the 
facility fee revenues to account for additional direct costs (see 
section 744M(c)(3)(E) of the FD&C Act). Adding the additional direct 
costs amount of $3 million to $33,467,438 yields an additional direct 
cost adjusted fee revenue of $36,467,438.

E. Fee Revenue Adjustment for Operating Reserve

    Under OMUFA, FDA may further increase the FY 2025 facility fee 
revenue and fees if such an adjustment is necessary to provide up to 10 
weeks of operating reserves of carryover user fees for OTC monograph 
drug activities (see section 744M(c)(2)(B) of the FD&C Act). 
Accordingly, in setting fees for FY 2025, the Agency must estimate its 
carryover for FY 2025 to ensure the Agency has sufficient carryover to 
continue its OTC monograph drug activities, as required under the 
statute, including an operating reserve to mitigate certain financial 
risks, such as under collections, unanticipated surges in program 
costs, or a lapse in appropriations. Under the statute, if FDA has 
carryover for OTC monograph drug activities that would exceed 10 weeks 
of such operating reserves, FDA is required to decrease FY 2025 fee 
revenues and fees to provide for not more than 10 weeks of operating 
reserves of carryover user fees (see section 744M(c)(2)(C) of the FD&C 
Act).
    Per the statute, OMUFA facility fees are not due until the third 
quarter of each fiscal year (i.e., the first business day in June). To 
address this timing of facility fee collections for late in the fiscal 
year, the Agency must set aside additional carryover, beyond that for 
an operating reserve, to sustain the Agency's OTC monograph drug 
activities until the facility fees for the subsequent fiscal year are 
due and payable on the first business day in June (i.e., June 1, 2026). 
Thus, the Agency will require FY 2025 carryover sufficient to cover 
payroll and operating expenses for the first 8 months (i.e., 35 weeks 
rounded) of the following fiscal year (i.e., October 1, 2025, to May 
31, 2026). We refer to the amount of carryover needed to cover this 35-
week period as the continuity set-aside, consistent with the annual 
OMUFA Financial Reports.\7\
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    \7\ https://www.fda.gov/about-fda/user-fee-financial-reports/omufa-financial-reports.
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    To determine the amount of this continuity set-aside, the Agency 
starts with the additional direct cost adjusted fee revenue of 
$36,467,438 (calculated in section D), divides it by 52 to yield a 
weekly operating amount of $701,297, and then multiplies the weekly 
operating amount by 35. Based on this calculation, FDA requires 
$24,545,391 to support the program until the FY 2026 facility fees are 
due. After running analyses on the projected collections and 
obligations for FY 2025, including accounting for possible financial 
risks described above, FDA estimates the FY 2025 carryover to be 
$28,026,448 which is $3,481,057 above the continuity set-aside amount 
needed to support the program through the 35-week period until the FY 
2026 facility fees are due.
    To determine whether the carryover above this continuity set-aside 
is within the 10-week limit for the operating reserve, FDA multiplies 
the weekly operating amount ($701,297) by 10, resulting in an operating 
reserve limit of $7,012,969. Because the estimated FY 2025 carryover 
above the continuity set-aside is below the 10-week threshold, FDA will 
not increase or reduce the FY 2025 fees or fee revenue under the 
statutory provision for an operating reserve adjustment. The final FY 
2025 OMUFA target facility fee revenue is $36,467,000 (rounded to the 
nearest thousand dollars).

III. Facility Fee Calculations

A. Facility Fee Revenues and Fees

    For FY 2025, facility fee rates are being established to generate a 
total target revenue amount, as determined under the statute, equal to 
$36,467,000 (rounded to the nearest thousand dollars). FDA used the 
methodology described below to determine the appropriate number of MDF 
and CMO facilities to be used in setting the OMUFA facility fees for FY 
2025. FDA took into consideration that the CMO facility fee is equal to 
two-thirds of the amount of the MDF facility fee (see section 
744M(a)(1)(B)(ii) of the FD&C Act).

B. Calculating the Number of Qualifying Facilities and Setting the 
Facility Fees

    For FY 2025, FDA utilized data consisting of the number of 
facilities that were registered in FDA's eDRLS to manufacture human OTC 
drug products produced under a monograph \8\ during

[[Page 13374]]

the FY 2025 fee-liable period (i.e., January 1, 2024, through December 
31, 2024, and that paid prior FY OMUFA facility fees, as the primary 
sources for estimating the number of each facility fee type (i.e., MDF 
and CMO)). In addition, the Agency considered data provided by firms 
regarding their operation as MDFs and CMOs during FY 2024 (i.e., 
October 1, 2023, through September 30, 2024) when they were submitting 
OTC Monograph User Fee Cover Sheets to pay the FY 2024 fee. These data 
helped FDA estimate the number of firms operating as MDF and CMO 
facilities during the FY 2025 fee-liable period (i.e., January 1, 2024, 
through December 31, 2024),\9\ and thus informed FDA's calculation of 
the number and ratio of MDF and CMO facilities used in determining the 
FY 2025 fee rates. FDA's review of data also reflected input received 
during the FY 2025 fee-liable period from facilities whose 
manufacturing or processing practices meet the definition of fee-
eligible OTC monograph drug facilities, to help capture those 
facilities that are in the market and intend to remain in the market 
for FY 2025.
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    \8\ See section 744M(d) of the FD&C Act. OTC monograph drug 
facilities had selected in the eDRLS the business operation 
qualifiers of ``manufactures human over-the-counter drug products 
produced under a monograph'' or ``contract manufacturing for human 
over-the-counter drug products produced under a monograph'' and 
indicated at least one of the following business operations: 
finished dosage form manufacture, label, manufacture, pack, relabel, 
or repack.
    \9\ FDA considers relabelers and repackagers to be a category of 
OTC monograph drug facilities subject to OMUFA facility fees. See 
section 744L(10)(A); see also section 744L(10)(A)(iii) of the FD&C 
Act, excluding from the definition of ``OTC monograph drug 
facility'' those facilities whose manufacturing or processing 
consists solely of a narrow range of specified activities (e.g., 
placement of outer overpackaging on products already in final 
packaged form); cf section 744A(6)(A)(ii) of the FD&C Act (which 
expressly excludes from the definition of ``facility'', for purposes 
of Generic Drug User Fee Amendments facility fees, a business or 
other entity whose only manufacturing or processing activities are 
repackaging, relabeling, or testing). See also 21 CFR 207.1 
(addressing drug establishment registration), stating that 
``[m]anufacture means each step in the manufacture, preparation, 
propagation, compounding, or processing of a drug,'' and indicating 
that ``the term `manufacture, preparation, propagation, compounding, 
or processing,' as used in section 510 of the Federal Food, Drug, 
and Cosmetic Act, includes relabeling, repackaging, and salvaging 
activities.''
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    Those facilities that only manufacture the active pharmaceutical 
ingredient of an OTC monograph drug do not meet the definition of an 
OTC monograph drug facility (see section 744L(10)(A)(i)(II)) of the 
FD&C Act). Likewise, a facility is not an OTC monograph drug facility 
if its only manufacturing or processing activities are one or more of 
the following: (1) production of clinical research supplies; (2) 
testing; or (3) placement of outer packaging on packages containing 
multiple products, for such purposes as creating multipacks, when each 
monograph drug product contained within the overpackaging is already in 
a final packaged form prior to placement in the outer overpackaging 
(see section 744L(10)(A)(iii) of the FD&C Act).
    Consistent with the January 12, 2021 HHS Federal Register notice 
\10\ (HHS FRN) and FDA's subsequent Federal Register notices published 
on March 26, 2021, March 16, 2022, March 27, 2023, and March 29, 2024, 
announcing the FY 2021, FY 2022, FY 2023, and FY 2024 OMUFA fees 
(respectively),11 12 13 14 facilities are not identified as 
an ``OTC monograph drug facility'' and will not be assessed a FY 2025 
OMUFA facility fee if they: (1) were not registered with FDA as OTC 
drug manufacturers prior to the HHS declaration of the COVID-19 public 
health emergency (PHE) on January 27, 2020; \15\ (2) registered with 
FDA on or after the declaration of the COVID-19 PHE on January 27, 
2020; (3) registered for the sole purpose of producing hand sanitizer 
products during the COVID-19 PHE; and (4) ceased manufacturing hand 
sanitizer products and delisted and deregistered in eDRLS before 12 
a.m. Eastern Time on December 31, 2024. We note that under the FD&C 
Act, whether an entity is subject to OMUFA fees has no bearing on 
whether the entity or the entity's products are subject to other 
requirements under the FD&C Act. FDA will continue to use its 
regulatory compliance and enforcement tools to protect consumers, 
including from hand sanitizers or other drugs that are potentially 
dangerous or subpotent.
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    \10\ See 86 FR 2420, https://www.federalregister.gov/documents/2021/01/12/2021-00237/notice-that-persons-that-entered-the-over-the-counter-drug-market-to-supply-hand-sanitizer-during.
    \11\ See 86 FR 16223, https://www.federalregister.gov/documents/2021/03/26/2021-06361/fee-rates-under-the-over-the-counter-monograph-drug-user-fee-program-for-fiscal-year-2021.
    \12\ See 87 FR 14888, https://www.federalregister.gov/documents/2022/03/16/2022-05542/over-the-counter-monograph-drug-user-fee-rates-for-fiscal-year-2022.
    \13\ See 88 FR 18156, https://www.federalregister.gov/documents/2023/03/27/2023-06299/over-the-counter-monograph-drug-user-fee-rates-for-fiscal-year-2023.
    \14\ See 88 FR 22156, https://www.federalregister.gov/documents/2024/03/29/2024-06723/over-the-counter-monograph-drug-user-fee-program-facility-fee-rates-for-fiscal-year-2024.
    \15\ See https://aspr.hhs.gov/legal/PHE/Pages/2019-
nCoV.aspx#:~:text=As%20a%20result%20of%20confirmed,January%2027%2C%20
2020%2C%20nationwide.
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    The January 12, 2021 HHS FRN explains that ``[t]he Department's 
conclusion [that certain hand sanitizer manufacturers are not 
identified as OTC monograph drug facilities] does not apply to such 
persons which (1) manufacture, distribute, and sell over-the-counter 
drugs in addition to hand sanitizer or (2) continue to manufacture (as 
opposed to hold, distribute, or sell existing inventories) hand 
sanitizer products as of December 31 of the year immediately following 
the year during which the COVID-19 Public Health Emergency is 
terminated. In those cases, the Department may identify such persons as 
OTC drug manufacturing facilities'' \16\ (emphasis added). Accordingly, 
as the PHE expired on May 11, 2023, those facilities which ``continue 
to manufacture'' solely hand sanitizer products as of December 31, 
2024, are identified as OTC monograph drug facilities and are subject 
to an OMUFA facility fee for FY 2025. Conversely, if such facilities 
ceased manufacturing hand sanitizer products and delisted and 
deregistered to reflect that before 12 a.m. Eastern Time on December 
31, 2024, they are not identified as an OTC monograph drug facility 
\17\ and would not be considered fee liable for purposes of FY 2025 
OMUFA facility fees.\18\ FDA communicated this deadline to stakeholders 
on multiple occasions, including in the FY 2024 OMUFA Facility Fee 
FRN,\19\ presentations to industry, and OMUFA listserv emails.
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    \16\ See https://www.federalregister.gov/documents/2021/01/12/2021-00237/notice-that-persons-that-entered-the-over-the-counter-drug-market-to-supply-hand-sanitizer-during.
    \17\ Id.
    \18\ Id.
    \19\ Available at https://www.federalregister.gov/documents/2024/03/29/2024-06723/over-the-counter-monograph-drug-user-fee-program-facility-fee-rates-for-fiscal-year-2024.
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    In undertaking the statutorily directed fee calculations for FY 
2024 fees, the Agency also made certain assumptions, including that: 
(1) facilities using expired Structured Product Labeling codes in 
eDRLS, that have not reregistered, were no longer manufacturing and 
marketing OTC monograph drugs; (2) facilities that have deregistered in 
eDRLS have exited the market; (3) facilities that FDA believes 
registered incorrectly as OTC monograph drug facilities (for example, 
because the associated drug listings for these facilities did not 
include OTC monograph drugs but instead indicated such products as OTC 
drug products under an approved drug application or OTC animal drug 
products) were not engaged in manufacturing or processing

[[Page 13375]]

the finished dosage form of an OTC monograph drug; (4) facilities that 
registered but did not have an active OTC monograph drug product 
listing associated in their registration profile were not manufacturing 
or processing such drug products; (5) a portion of facilities that 
newly registered during the fee liable period are estimated to be in 
arrears based on a review of the prior 3-year average of newly 
registered facilities in arrears; and (6) facilities that, at the close 
of FY 2024, remain on the arrears list for failure to satisfy the FY 
2022, FY 2023, or FY 2024 facility fee are likely to be placed on the 
FY 2025 arrears list as well.
    In addition, the Agency made certain assumptions with respect to 
hand sanitizer manufacturers that remained registered after 12 a.m. 
Eastern Time on December 31, 2024, including that: (1) hand sanitizer 
manufactures that have deregistered in eDRLS after December 31, 2024, 
have exited the market; (2) hand sanitizer manufacturers that did not 
actively update their registration in eDRLS during the FY 2025 fee 
liable period and let their registration lapse have likely exited the 
market; and (3) for the remaining hand sanitizer manufacturers that are 
newly fee liable, FDA estimated a portion will be in arrears based on a 
review of the prior 3-year average for newly registered facilities in 
arrears.
    Based on the above-referenced factors and assumptions, FDA 
estimates there will be 1,134 OMUFA fee-paying units. The Agency 
estimates that 57 percent (1,134 x 0.57 = 646, rounded) will incur the 
MDF fee and 43 percent (1,134 x 0.43 = 488, rounded) will incur the CMO 
fee.
    To determine the number of full fee-paying equivalents (the 
denominator) to be used in setting the OMUFA fees, FDA assigns a value 
of 1 to each MDF (646) and a value of \2/3\ to each CMO (488 x 2/3 = 
325) for a full facility equivalent of 971 (rounded). The target fee 
revenue of $36,467,000 is then divided by 971 for an MDF fee of $37,556 
and a CMO fee of $25,037.

IV. Fee Schedule for FY 2025

    The fee rates for FY 2025 are displayed in table 4.

                    Table 4--Fee Schedule for FY 2025
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                                                             FY 2025 fee
                        Fee category                            rates
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MDF........................................................      $37,556
CMO........................................................       25,037
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V. Fee Payment Options and Procedures

    The new facility fee rates are for the period from October 1, 2024, 
through September 30, 2025. To pay the MDF and CMO fees, complete an 
OTC Monograph User Fee Cover Sheet, available at: https://userfees.fda.gov/OA_HTML/omufaCAcdLogin.jsp.
    A user fee identification (ID) number will be generated. Payment 
must be made in U.S. currency by electronic check or wire transfer, 
payable to the order of the Food and Drug Administration. The preferred 
payment method is online using electronic check (Automated Clearing 
House (ACH) also known as eCheck).
    FDA has partnered with the U.S. Department of the Treasury to use 
Pay.gov, a web-based payment application, for online electronic 
payment. The Pay.gov feature is available on the FDA website after 
completing the OTC Monograph User Fee Cover Sheet and generating the 
user fee ID number. Secure electronic payments can be submitted using 
the User Fees Payment Portal at https://userfees.fda.gov/pay. (Note: 
Only full payments are accepted through https://userfees.fda.gov/pay. 
No partial payments can be made online). Once an invoice is located, 
``Pay Now'' should be selected to be redirected to Pay.gov. Electronic 
payment options are based on the balance due.\20\
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    \20\ Payment by credit card is available for balances that are 
less than $25,000 (Discover, VISA, MasterCard, American Express). If 
the balance exceeds this amount, only the ACH option is available. 
Payments must be made using U.S. bank accounts as well as U.S. 
credit cards.
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    For payments made by wire transfer, include the unique user fee ID 
number to ensure that the payment is applied to the correct fee(s). 
Without the unique user fee ID number, the payment may not be applied, 
which could result in consequences of nonpayment per section 744M(e)(1) 
of the FD&C Act. The originating financial institution may charge a 
wire transfer fee. Applicable wire transfer fees must be included with 
payment to ensure fees are fully paid. Questions about wire transfer 
fees should be addressed to the financial institution. The account 
information for wire transfers is as follows: U.S. Department of the 
Treasury, TREAS NYC, 33 Liberty St., New York, NY 10045, Acct. No.: 
75060099, Routing No.: 021030004, SWIFT: FRNYUS33. If needed, FDA's tax 
identification number is 53-0196965.
    If you are assessed an FY 2025 OMUFA facility fee and believe your 
facility is not an OTC monograph drug facility as described in this 
notice, please contact [email protected].

    Dated: March 18, 2025.
P. Ritu Nalubola,
Associate Commissioner for Policy.
[FR Doc. 2025-04860 Filed 3-20-25; 8:45 am]
BILLING CODE 4164-01-P