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Prescription Drug Advertising Under Scrutiny: New FDA and HHS Enforcement Actions

By Leonard L. Gordon, Shahin O. Rothermel & Jay Prapaisilp on September 16, 2025
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Last week, President Trump signed a presidential memorandum, “Addressing Misleading Direct-To-Consumer Prescription Drug Advertisements.” The memorandum invokes the U.S. Food and Drug Administration’s (FDA) authority to regulate prescription drug advertising, noting that the agency has historically required manufacturers, packers, or distributors to provide consumers with materially complete information regarding the benefits and risks of the advertised drug.

In the memorandum, Trump directs Secretary of Health and Human Services (HHS) Robert F. Kennedy Jr. to take “appropriate action” to ensure transparency and accuracy in direct-to-consumer drug advertising, including increasing the amount of information that must be disclosed regarding the risks associated with the drug. The Commissioner of Food and Drugs is also directed to take appropriate action to enforce the Federal Food, Drug, and Cosmetic Act’s prescription drug advertising provisions.

Link to New Federal Oversight of Direct-to-Consumer Drug Advertising New Federal Oversight of Direct-to-Consumer Drug Advertising

On the same day, the FDA issued a news release announcing that it is sending thousands of letters warning pharmaceutical companies to remove what the FDA characterizes as misleading advertisements and issuing approximately 100 cease-and-desist letters to companies with deceptive ads.

The letter lists the following concerns the FDA states that it intends to take “aggressive action” on:

  • Patients are not seeing a fair balance of information regarding drug products, such as when serious risks are not clearly presented or are too difficult for seniors to read or hear
  • Reliance on digital and social media channels, including undisclosed influencer promotions, blurring the lines among editorial content, user-generated media, and pharmaceutical advertising
  • Citing a journal review article that purportedly found that while “100% of pharmaceutical social media posts highlight drug benefits, only 33% mention potential harms” and that 88% of advertisements for top-selling drugs failed to adhere to the FDA’s “fair balance” guidelines

Link to What Comes Next for Pharmaceutical Advertising Regulation What Comes Next for Pharmaceutical Advertising Regulation

These actions were taken in conjunction with HHS’s Strategy Report, “Make Our Children Healthy Again,” which contains an array of initiatives. Relevant here, the report calls out direct-to-consumer drug advertising, highlighting social media influencers and DTC telehealth companies. The report states that the FDA, HHS, Federal Trade Commission, and Department of Justice will increase oversight and enforcement. Further actions that could be taken by federal regulators remain to be seen.

For more insights into advertising law, bookmark our All About Advertising Law blog and subscribe to our monthly newsletter. To learn more about Venable’s Advertising Law services, click here or contact one of the authors. And listen to the Ad Law Tool Kit Show—a podcast from Venable.

Photo of Leonard L. Gordon Leonard L. Gordon

Len Gordon, chair of Venable’s Advertising and Marketing Group, is a skilled litigator who leverages his significant experience working for the Federal Trade Commission (FTC) to help protect his clients’ interests and guide their business activity. Len regularly represents companies and individuals in…

Len Gordon, chair of Venable’s Advertising and Marketing Group, is a skilled litigator who leverages his significant experience working for the Federal Trade Commission (FTC) to help protect his clients’ interests and guide their business activity. Len regularly represents companies and individuals in investigations and litigation with the FTC, state attorneys general, the Department of Justice (DOJ), and the Consumer Financial Protection Bureau (CFPB). Len also represents clients in business-to-business and class action litigation involving both consumer protection and antitrust issues. He also counsels clients on antitrust, advertising, and marketing compliance issues.

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Photo of Shahin O. Rothermel Shahin O. Rothermel

Shahin Rothermel is an experienced counselor and defender who helps advertisers, retailers, merchants, and marketers advance their business goals while reducing legal and regulatory risks. Shahin provides clients with up-to-date, practical insights into the constantly evolving advertising, marketing, and e-commerce regulations, which allows…

Shahin Rothermel is an experienced counselor and defender who helps advertisers, retailers, merchants, and marketers advance their business goals while reducing legal and regulatory risks. Shahin provides clients with up-to-date, practical insights into the constantly evolving advertising, marketing, and e-commerce regulations, which allows her clients to make informed decisions. She has achieved successful resolutions, dismissals, and full walkaways in court, saving clients millions of dollars. She takes a pragmatic approach as a counselor, considering the implications of her advice for her clients’ marketing campaigns and their bottom lines.

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  • Posted in:
    Health Care and Life Sciences
  • Blog:
    All About Advertising Law
  • Organization:
    Venable LLP
  • Article: View Original Source

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