In countries where direct-to-consumer advertising (DTCA) of prescription medicine is prohibited, pharmaceutical companies can indirectly promote medicines via disease awareness advertising (DAA).1,2 DAA typically contains information on a disease and recommends that consumers speak to a doctor for further information. Companies sponsor DAA for conditions for which they manufacture a treatment, and often run concurrent branded advertising campaigns that target general practitioners.2
DAA sponsored by pharmaceutical companies may negatively influence consumers, generate unnecessary fear, and create a greater reliance on medications to solve social and behavioural problems.1,3 DAA has been identified as a form of disease mongering or “widening the boundaries of treatable illness in order to expand markets for those who sell and deliver treatments”.4 DAA is often directed at lifestyle conditions for which there are large, lucrative markets (eg, balding or erectile dysfunction).5,6 A Dutch study found that a DAA campaign increased disease-related consultations and prescriptions for the advertiser’s product for what may be considered an unimportant health issue.7
However, DAA can also provide information to help consumers identify symptoms and seek information about and treatment for previously untreated conditions.8 Advocates consider DAA to be particularly important for diseases that are considerably underdiagnosed (eg, diabetes).
In Australia, advertisers of therapeutic goods are bound by the Therapeutic Goods Act 1989 (Cwlth) and the Therapeutic Goods Administration (TGA) Therapeutic Goods Advertising Code,9 which prohibit DTCA. Although the definition and regulation of DAA is not explicit in the current Code, this form of advertising was recognised in a review of the therapeutic goods legislation.10 The review identified pros and cons of industry DAA, including its potential use as a method of skirting current regulations that prohibit DTCA. It called for the development of a code of practice with clear parameters for DAA, with an aim to increase the potential benefits and decrease the potential disadvantages.10 The formative Australia New Zealand Therapeutic Products Authority (ANZTPA), which aims to establish a trans-Tasman regulatory scheme for therapeutic products, defined DAA in its draft advertising code.11 The establishment of ANZTPA, however, faltered in the New Zealand Parliament, and it may not be revisited for some time.
In Australia, pharmaceutical company advertising for prescription medicines, including DAA, currently falls under the jurisdiction of Medicines Australia, a self-regulatory industry body. The Medicines Australia Code of Conduct is designed to complement the requirements of the Act and the TGA Code. Although prior approval of advertisements is not required, there is a monitoring committee, and member companies may be required to submit promotional material for review at various times.12 Section 9.5 of the Medicines Australia Code of Conduct (15th edition) allows for “patient education”, including advertising or provision of information on medical conditions and the broad range of treatments that may be prescribed by doctors. The Code stipulates that patient education should: be current, accurate, and balanced; not focus on a specific product or treatment; include a statement directing consumers to seek further information about the condition or range of treatments; not encourage patients to seek a prescription for a product; not cause alarm or misunderstanding; and not raise patients’ hopes of successful treatment.12
We used content analysis, as this method has been successfully employed in the United States to examine DTCA.13-15 We chose to study women’s magazines, as women have been identified as being more involved in health-related decisions, and studies in the US have indicated a greater incidence of DTCA in women’s magazines.14,15 The two highest-circulating monthly magazines, the three highest-circulating weekly magazines that contained therapeutic advertisements, and the highest-circulating health magazine were selected for the study. Monitoring was conducted from April 2006 to March 2007.
Advertisements where the focus was a disease or condition were included for analysis. We used the definitions in the ANZTPA draft advertising code.11 ANZTPA describes DAA as
information that aims to raise awareness regarding specific diseases, including public health campaigns, [that] must be factual and balanced, and support consumers in making informed healthcare choices,11
and unbranded product advertising as
promot[ing] the use or supply of product by inviting the consumer to seek further information about symptoms or conditions and/or their treatment or management while not referring overtly to any particular branded product.11
We employed directed content analysis for the study, where categories and codes were derived from relevant theory and prior research.16 Three coders had qualifications and experience in marketing, and one had medical qualifications and experience as a GP. One of us (D V H) facilitated individual training with each coder, as recommended by Kolbe and Burnett.17
Following the completion of coding, data were entered into a spreadsheet using SPSS, version 15 (SPSS Inc, Chicago, Ill, USA). The level of intercoder agreement was tested using the proportional reduction in loss (PRL) approach, which is suited to qualitative data, particularly where subjective coder judgements are made about marketing and promotional material.18 The PRL is considered to be, under the assumptions of generalisability theory, an equivalent measure to Cronbach’s α.18 A minimum of 0.7 is considered adequate for exploratory work.
We identified 711 advertisements for 207 therapeutic products (including over-the-counter and natural products) in the initial monitoring process (Box 1). Initially, 83 advertisements were identified as DAA; however, 23 were excluded as they did not meet the inclusion criteria (Box 1). The remaining 60 advertisements were analysed for frequency by magazine source (Box 2) and disease or condition advertised (Box 3).
The most frequently advertised conditions were cervical cancer, melanoma or skin cancer, genital herpes, and erectile dysfunction (Box 3). These advertisements were part of larger advertising campaigns that occurred across a range of media during the monitoring period.
Box 4 shows the number of advertisements where the various types of disease information were present and the reliability scores for each.
The most common form of disease information in advertisements was treatment information, followed by information on the cause or aetiology of the disease/condition as well as symptom information. PRL reliability scores ranged from 0.78 for risk factors to 0.98 for symptoms. Analysis of disease information by sponsor showed that the advertisements sponsored by pharmaceutical companies more often provided prevalence and treatment information, whereas advertisements without identifiable sponsors tended to provide information in all areas apart from prevalence (Box 5).
Our results indicate that DAA comprises a small proportion of all therapeutic advertising in popular Australian magazines, and is sponsored by industry, government and non-government organisations. Almost half the industry-sponsored advertisements were classified as “unbranded product advertisements”, which promote the use or supply of a product without referring directly to a brand.11 The most common form of disease information in all advertisements was treatment information, and industry-sponsored advertisements more often provided information regarding treatment and prevalence.
These results suggest that a primary objective of industry DAA is to provide information about a treatment in order to sell a product. Although this may appear logical from a marketing viewpoint, consumer advocates are concerned that the public is unaware of the profit motive of DAA.19,20 Further research is required to determine actual responses, but it is possible that consumers would not recognise the commercial intent of industry DAA, and perceive it to be a community service, similar to government advertisements. A possible solution is more transparent disclosure that the advertiser makes a product to treat or prevent the condition advertised; however, the use of such a disclosure would require research and testing, as it may act as a form of advertising similar to DTCA, or have other adverse effects.
The results have implications for health professionals, as industry DAA is required to include a statement to encourage patients to “ask their doctor”.12 However, if advertisements focus on treatment and do not include adequate information on risk factors, doctors may spend more valuable consultation time responding to inappropriate requests for treatment and re-educating patients.21
Our results suggest that the pharmaceutical industry could improve DAA through the provision of more comprehensive disease information, such as symptom and risk factor information. Medicines Australia could provide more detailed and specific guidelines for DAA, as recommended in a Council of Australian Governments review.10 Such guidelines are provided by the Medicines and Healthcare products Regulatory Agency in the United Kingdom. The Agency guidelines state that information in DAA should be: accurate; current; substantiated; comprehensive in covering the key characteristics of the disease including identification of the symptoms and risk factors; and balanced such that treatment information is not unduly emphasised.22 The identification of unbranded product advertisements may also be useful for Medicines Australia for future revisions to their code of conduct, as there is currently no acknowledgement of, or guidelines for, this form of advertising. This differs from the TGA advertising code, which recognises unbranded therapeutic product advertisements in relation to non-prescription medicines.9
We found that most industry-sponsored DAA used branding techniques, such as campaign names, logos or symbols. The use of branding techniques has previously been identified in Australian DAA as potentially circumventing the prohibition on DTCA, as companies create a “pseudo brand” that conveys the identity of the product without naming it.2 As in studies of DTCA in the US,13,23 the most prominent emotional appeal that we found was positive (happiness/healthiness/wellbeing). An analysis of visual features in DTCA in the US found that advertisements commonly portray models with positive personal characteristics. Consumers may associate prescription drugs with social rewards via observational learning and conclude that “a healthy appearance and active lifestyle is only a prescription away”.23
Our methodology was based on analyses of DTCA conducted in the US,24 and in response to draft industry-focused advertising regulation in Australia and New Zealand.11 Specific codes relevant to non-profit or government advertisements were not devised, and therefore recommendations for these advertisements have not been made. Another limitation of our study is the small sample of unique advertisements that resulted from the monitoring and inclusion process. This prevented statistical analysis and comparisons with content analyses conducted into DTCA.
2 Magazine source of 60 disease awareness advertisements, April 2006 to March 2007
NW = New Weekly. * Number of pages per month based on first month of study. |
4 Presence of different types of disease information in 30 advertisements in six magazines, April 2006 to March 2007
5 Disease information provided in 30 advertisements in six magazines, April 2006 to March 2007, by sponsor
6 Examples of four advertisements and their characteristics
- Danika V Hall1
- Sandra C Jones2
- Donald C Iverson3
- University of Wollongong, Wollongong, NSW.
None identified.
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Abstract
Objective: To examine the nature of disease awareness advertising (DAA).
Design: Therapeutic advertisements in six popular Australian women’s magazines were monitored between April 2006 and March 2007. A subset of advertisements was included in the study based on criteria derived from a definition of DAA. Unique advertisements were analysed by four independent coders.
Main outcome measures: Types of advertisements and their sponsors, the types of disease information present, and the persuasive techniques utilised.
Results: Of 711 advertisements identified, 60 met the inclusion criteria for DAA, and 30 of these were unique. Over one-third of the advertisements were classified as “unbranded product advertisements”, which promote a product without referring directly to a brand. DAA sponsored by pharmaceutical companies most often provided treatment and prevalence information. Most (22/30) advertisements used emotional appeals; 15 of these used “happiness/healthiness/wellbeing”.
Conclusions: The educational value of industry-sponsored DAA could be improved if regulations and guidelines stipulated disease information requirements, such as inclusion of risk-factor and symptom information. Regulators should provide guidelines for “unbranded product advertisements” and the acceptability of other persuasive techniques. Further research into DAA is required and should consider advertisements in a range of media, and behavioural responses.