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PHS Guideline on Infectious Disease Issues in Xenotransplantation

PHS GUIDLINE FOR XENO

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PHS GUIDELINE ON
INFECTIOUS DISEASE ISSUES IN
XENOTRANSPLANTATION

OMB Control No. 0910-0456
Expiration Date: 1/31/2013
See additional PRA statement on the last page of this guideline

January 19, 2001

January 19, 2001

1

PREAMBLE
PHS Guideline on Infectious Disease Issues in Xenotransplantation
Background
Several developments have fueled the renewed interest in xenotransplantation– the use of live animal
cells, tissues and organs in the treatment or mitigation of human disease. The world-wide, critical
shortage of human organs available for transplantation and advances in genetic engineering and in the
immunology and biology of organ/tissue rejection have renewed scientists’ interest in investigating
xenotransplantation as a potentially promising means to treat a wide range of human disorders. This
situation is highlighted by the fact that in the United States alone, 13 patients die each day waiting to
receive a life-saving transplant to replace a diseased vital organ.
While animal organs are proposed as an investigational alternative to human organ transplantation,
xenotransplantation is also being used in the effort to treat diseases for which human organ
allotransplants are not traditional therapies (e.g., epilepsy, chronic intractable pain syndromes, insulin
dependent diabetes mellitus and degenerative neurologic diseases such as Parkinson’s disease and
Huntington’s disease). At present, the majority of clinical xenotransplantation procedures utilize
avascular cells or tissues rather than solid organs in large part due to the immunologic barriers that the
human host presents to vascularized xenotransplantation products. However, with recent scientific
advances, xenotransplantation is viewed by many researchers as having the potential for treating not
only end-organ failure but also chronic debilitating diseases that affect major segments of the world
population.
Although the potential benefits may be considerable, the use of xenotransplantation also presents a
number of significant challenges. These include (1) the potential risk of transmission of infectious agents
from source animals to patients, their close contacts, and the general public;
(2) the complexities of informed consent; and (3) animal welfare issues.
On September 23, 1996, the Department of Health and Human Services (DHHS) published for public
comment the Draft PHS Guideline on Infectious Disease Issues in Xenotransplantation to address
the infectious disease concerns raised by xenotransplantation (61 Federal Register 49919). The Draft
Guideline was jointly developed by five components within DHHS–the Centers for Disease Control
and Prevention (CDC), Food and Drug Administration (FDA), Health Resources and Services
Administration (HRSA), National Institutes of Health (NIH), all parts of the U.S. Public Health Service
(PHS), plus the DHHS Office of the Assistant Secretary for Planning and Evaluation. This Draft
Guideline discusses general principles for the prevention and control of infectious diseases that may be
associated with xenotransplantation. Intended to minimize potential risks to public health, these general
principles provide guidance on the development, design, and implementation of clinical protocols to

2
sponsors of xenotransplantation clinical trials and local review bodies evaluating proposed
xenotransplantation clinical protocols. The Draft Guideline emphasizes the need for appropriate clinical
and scientific expertise on the xenotransplantation research team, adequate protocol review, thorough
health surveillance plans, and comprehensive informed consent and education processes.
In response to the Draft Guideline, the DHHS received over 140 written comments reflecting a broad
spectrum of public opinion (Federal Register docket No. 96M-0311). Comments were received from
a variety of stakeholders, including representatives of academia; industry; patient, consumer, and animal
welfare advocacy organizations; professional, scientific and medical societies; ethicists; researchers;
other government agencies and private citizens.
In revising the Draft Guideline, careful consideration was given to recent scientific findings, each of the
written comments, as well as to public comments received at several national, international, and DHHSsponsored workshops. These meetings constituted critically important public forums for discussing the
scientific, public health, and social issues attendant to xenotransplantation.
The DHHS sponsored two public workshops on xenotransplantation during 1997 and 1998. The first
meeting, held in July 1997, focused on virology and documented evidence of cross species infections.
Titled “Cross-Species Infectivity and Pathogenesis,” the meeting addressed current knowledge about
the mechanisms and consequences of infectious agent transmission across species barriers. Discussions
also focused on the possibility that an infectious agent might cross from an animal donor organ or tissue
to human xenotransplantation product recipients. The conference also highlighted gaps in knowledge
about the emergence of new infections in humans, especially as a result of xenotransplantation. The
basic consensus of the meeting was that while there were examples of animal infectious agents crossing
species barriers to infect, and even cause diseases in humans, the actual likelihood of this in
xenotransplantation product recipients cannot be ascertained at this time. Small adequate and wellcontrolled clinical trials designed to test the safety and efficacy of xenotransplantation were considered
to be appropriate. One anticipated outcome of such trials would be to both minimize and better
understand the risks of transmission of infectious agents. (The meeting summary can be accessed at:
http://www.niaid.nih.gov/dait/cross-species/default.htm)
In January 1998, a second DHHS workshop titled “Developing U.S. Public Health Service Policy in
Xenotransplantation,” focused on the current and evolving U.S. public health policy in
xenotransplantation. (The meeting transcripts can be accessed at
http://www.fda.gov/ohrms/dockets/dockets /96m0311 /96m0311.htm) Among other issues, the
regulatory framework, a national xenotransplantation database, and a national advisory committee were
discussed.
During this workshop, several themes were raised repeatedly and echoed many of the written public
comments on the Draft Guideline. First, there was a broad consensus that the Draft Guideline was

3
important and should be implemented, albeit with some modifications. For example, it was expressed
that there could be more public awareness and participation in the development of public health policies
in the field of xenotransplantation. Second, there was strong support for the DHHS proposal to
establish a national xenotransplantation advisory committee, not only to facilitate analysis and discussion
of the scientific, medical, ethical, legal, and social issues raised by xenotransplantation, but also to
review and make recommendations about proposed clinical trial protocols. There was broad support
for proceeding cautiously with xenotransplantation trials; however, some participants held that a national
moratorium on clinical trials in xenotransplantation might be advantageous until the national
xenotransplantation advisory committee is established and operational. While there is no definitive
scientific evidence that xenotransplantation would promote cross-species infectious agent transmission
leading to disease, there are data providing a reasonable basis for caution [see revised guideline,
section 6., references D.1.a; e.; f.; i.; l; o.; q.; r.& s.]. Some members of the scientific and medical
community and concerned citizens expressed the opinion that there is a perceived greater risk from the
use of xenotransplantation products procured from nonhuman primates (as opposed to other species)
because of potential public health risks and animal welfare concerns.
The January 1998 workshop also included presentations by representatives of the World Health
Organization (WHO), the Organization for Economic Cooperation and Development (OECD), and
several nations engaged in developing policies on xenotransplantation. These presentations placed the
U.S. policy in global context and enhanced international dialogue on important public health safeguards.
Because of the potential for the secondary transmission of infectious agents, the public health risks
posed by xenotransplantation transcend national boundaries. International communication and
cooperation in the development of public health policies are critical elements in successfully addressing
the global safety and ethical challenges inherent in xenotransplantation. To this end, several countries,
including Canada, France, Germany, the Netherlands, Spain, Sweden, the United Kingdom, and the
United States and several international organizations such as the WHO, OECD, and the Council of
Europe are actively engaged in international workshops and consultations on xenotransplantation. [see
revised guideline, section 6.C.7. for a partial bibliography of guidance documents and websites from
national and international bodies].
Major Revisions and Clarifications to the Guideline
Major revisions and clarifications to the Draft Guideline are briefly summarized and discussed below.
These revisions were prompted by public comments submitted to the Draft Guideline docket, concerns
expressed at public workshops, evolving science, and developing international policies. PHS intends to
address related issues that go beyond the scope of this Guideline in future guidance documents. In the
future the Guideline may be amended as needed to appropriately reflect the accrual of new knowledge
about cross-species infectivity and pathogenesis, new insights into the potential risks associated with
xenotransplantation, policies currently under development (e.g., the Secretary’s Advisory Committee
on Xenotransplantation and the National Xenotransplantation Database), and other evolving public

4
health policies in this arena.
Definition of Xenotransplantation and Xenotransplantation Product. The definition of
“xenotransplantation” has been revised from that used in the Draft Guideline. For the purposes of this
document and US PHS policy xenotransplantation is now defined to include any procedure that
involves the transplantation, implantation, or infusion into a human recipient of either
(a) live cells, tissues, or organs from a nonhuman animal source or (b) human body fluids, cells, tissues
or organs that have had ex vivo contact with live nonhuman animal cells, tissues, or organs.
Furthermore, xenotransplantation products have been defined to include live cells, tissues or organs
used in xenotransplantation. The term xenograft, used in previous PHS documents, will no longer be
used to refer to all xenotransplantation products.
Clinical Protocol Review and Oversight . A variety of opinions were expressed regarding the
appropriate level of protocol review and oversight of clinical trials in the U.S. For example, the
American Society of Transplant Surgeons stated that the Draft Guideline represented an unnecessary
intrusion of government regulation into the performance of transplant surgery. In contrast, some
organizations with commercial interests in the development of xenotransplantation contended that an
inappropriate share of the burden for oversight of clinical trials had been assigned to local review
committees and that the responsibility for this oversight should reside at the national level with the FDA.
Several academic veterinarians, a group of 44 virologists, and other concerned citizens asserted that
strict regulations should accompany the Guideline and that the major responsibility for determining the
suitability of any animals as sources of nonhuman animal live cells, tissues or organs used in
xenotransplantation must reside with the FDA.
The revised Guideline makes clear that, in addition to review by appropriate local review bodies
(Institutional Review Boards, Institutional Animal Care and Use Committees, and the Institutional
Biosafety Committees), the FDA has regulatory oversight for xenotransplantation clinical trials
conducted in the U.S. Xenotransplantation products (i.e., live cells, tissues, or organs from a nonhuman
animal source or human body fluids, cells, tissues, or organs that have had ex vivo contact with live
cells, tissues, or organs from nonhuman animal sources and are used for xenotransplantation) are
considered to be biological products, or combination products that contain a biological component,
subject to regulation by FDA under section 351 of the Public Health Service Act (42 U.S.C. 262) and
under the Federal Food, Drug and Cosmetic Act (21 U.S.C. 321 et seq.). In accordance with the
applicable statutory provisions, xenotransplantation products are subject to the FDA regulations
governing clinical investigations and product approvals (e.g., the Investigational new Drug [IND]
regulations in 21 CFR Part 312, and the regulations governing licensing of biological products in 21
CFR Part 601). Investigators should submit an application for FDA review before proceeding with
xenotransplantation clinical trials. Sponsors are strongly encouraged to meet with FDA staff in the presubmission phase. In addition to the guidances referred to below, the FDA is considering further
regulations and/or guidances regarding, for example, the development of xenotransplantation protocols

5
and the technical and clinical development of xenotransplantation products.
Xenotransplantation clinical protocols may also be reviewed by the Secretary’s Advisory Committee
on Xenotransplantation. The scope and process for this review will be described in future publications.
[see revised guideline, sections 2.3, 5.3]
Responsibility for Design and Conduct of Clinical Protocols . The Draft Guideline originally proposed
that clinical centers, source animal facilities, and individual investigators share the responsibilities for
various aspects of the clinical trial protocol, including pre-xenotransplantation screening programs,
patient informed consent procedures, record keeping, and post-xenotransplantation surveillance
activities. The revised Guideline clarifies that primary responsibility for designing and monitoring the
conduct of xenotransplantation clinical trials rests with the sponsor (as provided under, e.g., 21 CFR
312.23(a)(6)(d) and 312.50).
Informed Consent and Patient Education. Virologists, infectious disease specialists, health care
workers, and patient advocates emphasized the need for the sponsor to offer assistance to
xenotransplantation product recipients in educating their close contacts about potential infectious
disease risks and methods for reducing those risks. The Guideline has been revised to state that the
sponsor should ensure that counseling regarding behavior modification and other issues associated with
risk of infection is provided to the patient and made available to the patient’s family and other close
contacts prior to and at the time of consent, and that such counseling should continue to be available
thereafter. The revised Guideline clarifies and strengthens the informed consent process for
xenotransplantation product recipients and the education and counseling process for recipients and their
close contacts, including associated health care professionals. It also emphasizes the need for
xenotransplantation product recipients to comply with long-term or life-long surveillance regardless of
the outcome of the clinical trial or the status of the graft or other xenotransplantation product. [see
revised guideline, sections 2.5.3, 2.5.4, 2.5.7.]
Deferral of Allograft and Blood Donors . The 1996 Draft Guideline recommended that
xenotransplantation product recipients refrain from donating body fluids and/or parts for use in humans.
Some infectious disease specialists and an infectious disease control practitioner organization suggested
that this be strengthened to active deferral of xenotransplantation product recipients, and that
consideration also be given to the deferral of close contacts of xenotransplantation product recipients.
This issue was addressed by the FDA Xenotransplantation Subcommittee of the Biological Response
Modifiers Advisory Committee (December, 1997, for transcript:
http://www.fda.gov/ohrms/dockets/ac/97/transcpt/3365t1.rtf). The committee recommended that
xenotransplantation product recipients and their close contacts be counseled and actively deferred from
donation of body fluids and other parts. A proposed FDA policy was then later presented to FDA’s
Blood Products Advisory Committee for further discussion, (March, 1998, for transcript:
http://www.fda.gov/ohrms/dockets/ac/98/transcpt/3391t2.rtf). Of note, at the time of both these

6
advisory committee meetings the operative definition of xenotransplantation did not include, as it does
now, the use of certain products involving limited ex vivo exposure to xenogeneic cell lines or tissues.
FDA has published a draft guidance document (“Guidance for Industry: Precautionary Measures to
Reduce the Possible Risk of Transmission of Zoonoses by Blood and Blood Products from
Xenotransplantation Product Recipients and Their Contacts”) for public comment, which was again
discussed by the FDA Xenotransplantation Subcommittee of the Biological Response Modifiers
Advisory Committee on January 13, 2000. FDA will further consult with its advisors to identify the
range of xenotransplantation products for which recipients and/or their contacts should be
recommended for deferral from blood donation. Additionally, the range of contacts who should be
deferred from blood donation will be clarified after further public discussion. The Guideline has been
revised to reflect comments made at the FDA advisory committee meetings [see revised guideline,
sections 2.5.11].
Xenotransplantation Product Sources. Strong opposition to the use of nonhuman primates as
xenotransplantation product sources was voiced by many individuals and groups, including 44
virologists, scientific and medical organizations such as the American Society of Transplant Physicians,
the American College of Cardiology, private citizens, and commercial sponsors of xenotransplantation
clinical trials. The concerns focused on the ethics of using animals so closely related to humans, as well
as the risk of transmission of infectious diseases from nonhuman primates to humans. Many
recommended that the Guideline state that clinical xenotransplantation trials using xenotransplantation
products for which nonhuman primates served as source animals should not occur until a closer
examination of infectious disease risks can be adequately carried out.
Scientific findings since the publication of the Draft Guideline have also resulted in revisions. For
example, the ability of simian foamy virus (SFV) to persistently infect human hosts has been further
characterized [see revised guideline, section 6., references D.2.m. & D.4.d.], the persistence of
microchimerism with anatomically dispersed baboon cells containing SFV, baboon cytomegalovirus
(CMV), and baboon endogenous retrovirus (BaEV) in human recipients of baboon liver
xenotransplantation products has been documented [see revised guideline, section 6., references D.3.a.
& D.4.h.], and new viruses capable of infecting humans have been identified in pigs [see revised
guideline, section 6., references D.2.a., b., f., g., h., i., v., w., x., bb., cc., ee., & gg.]. The active
expression of infectious porcine endogenous retrovirus from multiple porcine cell types, and the ability
of porcine endogenous retrovirus variants A and B to infect human cell lines in vitro has been
demonstrated [see revised guideline, section 6., references D.1.q., s.; D.2.jj.; D.3.i.; D.4.a., e., f., m., s.
& t.], giving scientific plausibility to concerns that this retrovirus from porcine xenotransplantation
products may be able to infect recipients in vivo.
Diagnostic tests for porcine endogenous retrovirus, BaEV, and other relevant infectious agents have
been developed [see revised guideline, section 6., references D.4.a., b., d., g., h., l., n., p., q., t. & u.]
and studies are currently underway to assess the presence or absence of infectious endogenous

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retroviruses and other relevant infectious agents in both porcine and baboon xenotransplantation
products and in the recipients of these xenotransplantation products [see revised guideline, section 6.,
references D.3.a.; D.4.c., h., j., l. & n.]. The risk of endogenous retrovirus infection, however, is multifactorial and it is not known whether results from these studies will be predictive of the potential
infectious risks associated with future xenotransplantation products. One factor that impacts porcine
endogenous retrovirus infectivity is its sensitivity to inactivation and lysis by human sera, yet the virus
becomes resistant to inactivation after a single passage through human cells [see revised guideline,
section 6., references D.2.jj. & D.4.m.]. It is hypothesized that pre-xenotransplantation removal of
naturally occurring xenoreactive antibodies from the recipient and other modifications intended to
facilitate xenotransplantation product survival, such as the procurement of xenotransplantation products
or nonhuman animal live cells, tissues or organs used in the manufacture of xenotransplantation products
from certain transgenic pigs, may also modulate the infectivity of endogenous retroviruses for
xenotransplantation product recipients [see revised guideline, section 6., references D.1.d., o., q., s.;
D.2.k., jj.; D.3.i.; D.4.e., k., m. & r.].
As the science regarding porcine endogenous retroviruses summarized above began to emerge, the
FDA placed all clinical trials using porcine xenotransplantation products on hold (October 16, 1997)
pending development by sponsors of sensitive and specific assays for (1) preclinical detection of
infectious porcine endogenous retrovirus in porcine xenotransplantation products, (2) postxenotransplantation screening for porcine endogenous retrovirus and clinical follow-up of porcine
xenotransplantation product recipients, and (3) the development of informed consent documents that
indicate the potential clinical implications of the capacity of porcine endogenous retrovirus to infect
human cells in vitro. These issues were discussed publicly by the FDA Xenotransplantation
Subcommittee of the Biological Response Modifiers Advisory Committee (December, 1997, for
transcript: http://www.fda.gov/ohrms/dockets/ac/97/transcpt/3365t1.rtf).
In response to concerns articulated by scientists and other members of the public regarding the use of
nonhuman primate xenotransplantation products, the FDA, after consultation with other DHHS
agencies, has issued a “Guidance for Industry: Public Health Issues Posed by the Use of Nonhuman
Primate Xenografts in Humans” containing the following conclusions:
“...(1) an appropriate federal xenotransplantation advisory committee, such as a Secretary’s
Advisory Committee on Xenotransplantation (SACX) currently under development within the
DHHS, should address novel protocols and issues raised by the use of nonhuman primate
xenografts, conduct discussions, including public discussions as appropriate, and make
recommendations on the questions of whether and under what conditions the use of nonhuman
primate xenografts would be appropriate in the United States.
(2) clinical protocols proposing the use of nonhuman primate xenografts should not be
submitted to the FDA until sufficient scientific information exists addressing the risks posed by

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nonhuman primate xenotransplants. Consistent with FDA Investigational New Drug (IND)
regulations [21 CFR 312.42(b)(1)(iv)], any protocol submission that does not adequately
address these risks is subject to clinical hold (i.e., the clinical trial may not proceed) due to
insufficient information to assess the risks and/or due to unreasonable risk.
(3) at the current time, FDA believes there is not sufficient information to assess the risks posed
by nonhuman primate xenotransplantation. FDA believes that it will be necessary for there to be
public discussion before these issues can be adequately addressed...”
While the document “Guidance for Industry: Public Health Issues Posed by the Use of Nonhuman
Primate Xenografts in Humans” specifically addresses the issue of nonhuman primates as sources for
xenotransplantation products, the DHHS recognizes that other animal species have been used and/or
are proposed as sources of xenotransplantation products and that all species pose infectious disease
risks. Accordingly, the principles for source animal screening and health surveillance described in the
revised Guideline apply to all candidate source animals regardless of species. These principles will need
to be reassessed as new data become available.
Source Animal Screening and Qualification. Many groups and individuals expressed concern that the
Draft Guideline did not set forth sufficiently stringent principles and criteria for source animal husbandry
and screening, source animal facilities, and procurement and screening of xenotransplantation products.
This view was expressed by virologists, veterinarians, infectious disease specialists, concerned citizens,
commercial producers of laboratory animals, industrial sponsors of xenotransplantation trials, and a
number of professional, scientific, medical, and advocacy organizations, such as the American Society
of Transplant Surgeons, Doctors and Lawyers for Responsible Medicine, the American College of
Cardiology, Biotechnology Industry Organization (BIO - representing 670 biotech companies), and the
Association for Professionals in Infection Control and Epidemiology. Others expressed concern that the
stringency of the Draft Guideline imposed high economic burdens on producers of xenotransplantation
product source animals and/or on sponsors of xenotransplantation clinical trials. However, in order to
reduce the potential public health risks posed by xenotransplantation, strict control of animal husbandry
and health surveillance practices are needed during the course of development of this technology.
The Guideline has been revised to clarify the animal husbandry and pre-xenotransplantation infectious
disease screening that should be performed before an animal can become a qualified source of
xenotransplantation products. The revised Guideline now emphasizes that risk minimization precautions
appropriate to each xenotransplantation product protocol should be employed during all steps of
production and that screening, quarantine, and surveillance protocols should be tailored to the specific
clinical protocol, xenotransplantation product, source animal and husbandry history. Breeding
programs using cesarean derivation of animals should be used whenever possible. Source animals
should be procured from closed herds or colonies raised in facilities that have appropriate barriers to
effectively preclude the introduction or spread of infectious agents. These facilities should actively

9
monitor the herds for infectious agents. The revised Guideline clarifies and strengthens the infectious
disease screening and surveillance practices that should be in place before a clinical trial can begin.
Specimen Archives and Medical Records. A number of infectious disease specialists, veterinarians,
epidemiologists, industry sponsors of xenotransplantation trials, biotechnology companies, professional
organizations such as the American Society of Transplant Physicians, and consumer advocates
requested clarification regarding the collection and usage of, and access to, biological specimens
obtained from both source animals and xenotransplantation product recipients.
The revised Guideline clarifies the recommended types, volumes, and collection schedule for biological
specimens from both source animals and xenotransplantation product recipients. It also clearly
distinguishes between biological specimens archived for public health investigations [see revised
guideline, sections 4.1.2. and 3.7.] and specimens archived for use by the sponsor in conducting
surveillance of source animals and post-xenotransplantation laboratory surveillance of
xenotransplantation product recipients. The revised Guideline also states that health records and
biologic specimens should be maintained for 50 years, based on the latency periods of known human
pathogenic persistent viruses and the precedents established by the US Occupational Safety and
Health Administration with respect to record-keeping requirements.
National Xenotransplantation Database. A number of infectious disease specialists, epidemiologists,
transplant physicians, and a state health official emphasized the need for accurate and timely
information on infectious disease surveillance and xenotransplantation protocols and their outcomes.
They further supported the concept of a national xenotransplantation database as described in the Draft
Guideline.
The revised Guideline describes the development of a pilot national xenotransplantation database
to identify and implement routine data collection methods, system design, data reporting, and general
start-up and to assess routine operational issues associated with a fully functional national database. The
revisions also discuss plans to expand this pilot into a national xenotransplantation database intended to
compile data from all clinical centers conducting trials in xenotransplantation and all animal facilities
providing source animals for xenotransplantation.
Secretary’s Advisory Committee on Xenotransplantation. Xenotransplantation research brings to the
fore certain challenges in assessing the potential impact of science on society as a whole, including the
role of the public in those assessments. The broad spectrum of public opinions expressed since the
publication of the Draft Guideline indicates that there is neither uniform public endorsement nor rejection
of xenotransplantation. The fields of research involved are rapidly moving ones, at the leading edge of
medical science. Furthermore, in many instances the clinical trials are privately funded and the public
may not even be aware of them. However, public awareness and understanding of xenotransplantation
is vital because the potential infectious disease risks posed by xenotransplantation extend beyond the

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individual patient to the public at large. In addition to these safety issues, a variety of individuals and
groups have identified and/or raised concerns about issues such as animal welfare, human rights,
community interest and consent, social equity in access to novel biotechnologies, and allocation of
human allografts versus xenotransplantation products. For all of these reasons, public discourse on
xenotransplantation research is critical and necessary.
The revised Guideline acknowledges the complexity, importance, and relevance of these issues, but
emphasizes that the scope of the Guideline is limited to infectious disease issues. The revised Guideline
discusses the development of the Secretary’s Advisory Committee on Xenotransplantation (SACX) as
a mechanism for ensuring ongoing discussions of the scientific, medical, social, and ethical issues and the
public health concerns raised by xenotransplantation, including ongoing and proposed protocols. The
SACX will make recommendations to the Secretary on policy and procedures and, as needed, on
changes to the Guideline.

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PHS GUIDELINE ON INFECTIOUS DISEASE ISSUES
IN XENOTRANSPLANTATION
Table of Contents
1.	

Introduction
1.1.	 Applicability

1.2.	 Definitions

1.3.	 Background

1.4.	 Scope of the Document

1.5.	 Objectives


2.	

Xenotransplantation Protocol Issues
2.1.	 Xenotransplantation Team

2.2.	 Clinical Xenotransplantation Site

2.3.	 Clinical Protocol Review

2.4.	 Health Screening and Surveillance Plans 

2.5.	 Informed Consent and Patient Education Processes 


3.	

Animal Sources for Xenotransplantation
3.1.	 Animal Procurement Sources

3.2.	 Source Animal Facilities

3.3.	 Pre-xenotransplantation Screening for Known Infectious Agents 

3.4.	 Herd/Colony Health Maintenance and Surveillance

3.5.	 Individual Source Animal Screening and Qualification 

3.6.	 Procurement and Screening of Nonhuman Animal Live Cells, Tissues or 

Organs Used for Xenotransplantation

3.7.	 Archives of Source Animal Medical Records and Specimens 

3.8.	 Disposal of Animals and Animal By-products 


4.	

Clinical Issues
4.1.	 Xenotransplantation Product Recipient

4.2.	 Infection Control

4.3.	 Health Care Records


5.	

Public Health Needs
5.1.	 National Xenotransplantation Database

5.2.	 Biologic Specimen Archives

5.3.	 Secretary’s Advisory Committee on Xenotransplantation (SACX) 


6.	

Bibliography

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1.

Introduction
1.1.

Applicability

This guideline was developed by the U.S. Public Health Service (PHS) to identify general
principles of prevention and control of infectious diseases associated with xenotransplantation
that may pose a hazard to public health. It is intended to provide general guidance to local
review bodies evaluating proposed xenotransplantation clinical protocols and to sponsors in the
development of xenotransplantation clinical protocols, in preparing submissions to FDA or the
Secretary’s Advisory Committee on Xenotransplantation (SACX, section 5.3.), and in the
conduct of xenotransplantation clinical trials. Such clinical trials conducted within the United
States are subject to regulation by the FDA under the Public Health Service Act (42 U.S.C.
262, 264), and the Federal Food, Drug, and Cosmetic Act (21 U.S.C. 321 et seq.). This
guidance document represents PHS’s current thinking on certain infectious disease issues in
xenotransplantation. It does not create or confer any rights for or on any person and does not
operate to bind PHS or the public. This guidance is not intended to set forth an approach that
addresses all of the potential health hazards related to infectious disease issues in
xenotransplantation nor to establish the only way in which the public health hazards that are
identified in this document may be addressed. The PHS acknowledges that not all of the
recommendations set forth within this document may be fully relevant to all xenotransplantation
products or xenotransplantation procedures. Sponsors of clinical xenotransplantation trials are
advised to confer with relevant authorities (the FDA, other reviewing authorities, funding
sources, etc) in assessing the relevance and appropriate adaptation of the general guidance
offered here to specific clinical applications.
1.2.

Definitions

This section defines terms as used in this guideline document.
1

Allograft - a graft consisting of live cells, tissues, and/or organs between individuals of
the same species.

2

Closed herd or colony - herd or colony governed by Standard Operating Procedures
that specify criteria restricting admission of new animals to assure that all introduced
animals are at the same or a higher health standard compared to the residents of the
herd or colony.

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3	

Commensal - an organism living on or within another, but not causing injury to the host.

4	

Good Clinical Practices - A standard for the design, conduct, performance, monitoring,
auditing, recording, analyses, and reporting of clinical trials that provides assurance that
the data and reported results are credible and accurate, and that the rights, integrity,
and confidentiality of trial subjects are protected.

5	

Infection Control Program - a systematic activity within a hospital or health care center
charged with responsibility for the control and prevention of infections within the
hospital or center.

6	

Infectious agents - viruses, bacteria (including the rickettsiae), fungi, parasites, or agents
responsible for Transmissible Spongiform Encephalopathies (currently thought to be
prions) capable of invading and multiplying within the body.

7	

Institutional Animal Care and Use Committee (IACUC) - a local institutional committee
established to oversee the institution’s animal program, facilities, and procedures.
IACUC carry out semiannual program reviews and facility inspections and review all
animal use protocols and any animal welfare concerns. (See PHS Policy on Humane
Care and Use of Laboratory Animals, September 1986; reprinted March 1996).

8	

Institutional Biosafety Committee (IBC) - A local institutional committee established to
review and oversee basic and clinical research conducted at that institution. The IBC
assesses the safety of the research and identifies any potential risk to public health or
the environment. (See Section IV-B-2 of the NIH Guidelines for Research Involving
Recombinant DNA Molecules).

9	

Institutional Review Board (IRB) - A local institutional committee established to review
biomedical and behavioral research involving human subjects in order to protect the
rights of human subjects (See 45 CFR Part 46, Protection of Human Subjects, and 21
CFR Part 56, Institutional Review Boards).

10 	

Investigator - an individual who actually conducts a clinical investigation (i.e., under
whose immediate direction the drug [or investigational product] is administered or
dispensed to a subject). In the event an investigation is conducted by a team of
individuals, the investigator is the responsible leader of the team (see 21 CFR
312.3(b)).

11	

Nosocomial infection - an infection acquired in a hospital.

14

12	

Occupational Health Service - an office within a hospital or health care center charged
with responsibility for the protection of workers from health hazards to which they may
be exposed in the course of their job duties.

13	

Procurement - the process of obtaining or acquiring animals or biological
specimens (such as cells, tissues, or organs) from an animal or human for medicinal,
research, or archival purposes.

14	

Recipient – a person who receives or who undergoes ex vivo exposure to a
xenotransplantation product (as defined in xenotransplantation).

15	

Secretary’s Advisory Committee on Xenotransplantation (SACX) - the advisory
committee appointed by the Secretary of Health and Human Services to consider the
full range of issues raised by xenotransplantation (including ongoing and proposed
protocols) and make recommendations to the Secretary on policy and procedures.

16	

Source animal - an animal from which cells, tissues, and/or organs for
xenotransplantation are obtained.

17	

Source animal facility - facility that provides source animals for use in
xenotransplantation.

18	

Sponsor - a person who takes responsibility for and initiates a clinical investigation. The
sponsor may be an individual or a pharmaceutical company, government agency,
academic institution, private organization or other organization. The sponsor does not
actually conduct the investigation unless the sponsor is a sponsor-investigator (see, e.g.,
21 CFR 312.3(b)).

19	

Transmissible spongiform encephalopathies (TSEs) - fatal, subacute, degenerative
diseases of humans and animals with characteristic neuropathology (spongiform change
and deposition of an abnormal form of a prion protein present in all mammalian brains).
TSEs are experimentally transmissible by inoculation or ingestion of diseased tissue,
especially central nervous system tissue. The prion protein (intimately associated with
transmission and pathological progression) is hypothesized to be the agent of
transmission. Alternatively, other unidentified co-factors or an as-yet unidentified viral
agent may be necessary for transmission. Creutzfeldt-Jakob disease (CJD) is the most
common human TSE.

20	

Xenogeneic infectious agents - infectious agents that become capable of infecting
humans due to the unique facilitating circumstances of xenotransplantation; includes

15
zoonotic infectious agents.
21

Xenotransplantation - for the purposes of this document, any procedure that involves
the transplantation, implantation, or infusion into a human recipient of either (A.) live
cells, tissues, or organs from a nonhuman animal source or (B.)
human body fluids, cells, tissues or organs that have had ex vivo contact with live
nonhuman animal cells, tissues, or organs.

22

Xenotransplantation Product(s) - live cells, tissues or organs used in xenotransplantation
(defined above). Previous PHS documents have used the term “xenograft” to refer to
all xenotransplantation products.

23

Xenotransplantation Product Recipient - a person who receives or who undergoes ex
vivo exposure to a xenotransplantation product.

24

Zoonosis - A disease of animals that may be transmitted to humans under natural
conditions (e.g. brucellosis, rabies).

1.3.

Background

The demand for human cells, tissues and organs for clinical transplantation continues to exceed
the supply. The limited availability of human allografts, coupled with recent scientific and
biotechnical advances, has prompted the renewed development of investigational therapeutic
approaches that use xenotransplantation products in human recipients.
The experience with human allografts, however, has shown that infectious agents can be
transmitted through transplantation. HIV/AIDS, Creutzfeldt-Jakob Disease, rabies, and
hepatitis B and C, for example, have been transmitted between humans via allotransplantation.
The use of live nonhuman cells, tissues and organs for xenotransplantation raises serious public
health concerns about potential infection of xenotransplantation product recipients with both
known and emerging infectious agents.
Zoonoses are infectious diseases of animals transmitted to humans via exposure to or
consumption of the source animal. It is well documented that contact between humans and
nonhuman animals -- such as that which occurs during husbandry, food production, or
interactions with pets -- can lead to zoonotic infections. Many infectious agents responsible for
zoonoses (e.g., Toxoplasma species, Salmonella species, or Cercopithecine herpesvirus 1 (B
virus) of monkeys) are well characterized and can be identified through available diagnostic
tests. Infectious disease public health concerns about xenotransplantation focus not only on the
transmission of these known zoonoses, but also on the transmission of infectious agents as yet

16
unrecognized. The disruption of natural anatomical barriers and immunosuppression of the
recipient increase the likelihood of interspecies transmission of xenogeneic infectious agents. An
additional concern is that these xenogeneic infectious agents could be subsequently transmitted
from the xenotransplantation product recipient to close contacts and then to other human
beings. An infectious agent may pose risk to the patients and/or public if it can infect, cause
disease in, and transmit among humans, or if its ability to infect, cause disease in, or transmit
among humans remains inadequately defined.
Emerging infectious agents may not be readily identifiable with current techniques. This was the
case with the several year delay in identifying HIV-1 as the etiologic agent for AIDS.
Retroviruses and other persistent infections may be associated with acute disease with varying
incubation periods, followed by periods of clinical latency prior to the onset of clinically evident
malignancies or other diseases. As the HIV/AIDS pandemic demonstrates, persistent latent
infections may result in person-to-person transmission for many years before clinical disease
develops in the index case, thereby allowing an emerging infectious agent to become established
in the susceptible population before it is recognized.
1.4.

Scope of the Document

This guideline addresses the public health issues related to xenotransplantation and recommends
procedures for diminishing the risk of transmission of infectious agents to the recipient, health
care workers, and the general public. While it is beyond the scope of this document to address
the array of complex and important ethical issues raised by xenotransplantation, this guideline
describes a mechanism for ensuring ongoing broad public discussion of ethical issues related to
xenotransplantation (section 5.3). Other publications and reports of public discussions (section
6., references C.7.a., c., d., h., I.; D.1.b. & I.) have addressed issues such as animal welfare,
human rights, and community interest.
This guideline reflects the status of the field of xenotransplantation and knowledge of the risk of
xenogeneic infections at the time of publication. The general guidance in this document will be
augmented by public discussion, new advances in scientific knowledge and clinical experience,
and specific FDA guidance documents intended to facilitate the implementation of the principles
set forth herein. HHS may ask the Secretary’s Advisory Committee on Xenotransplantation
(SACX) to review the Guideline on a periodic basis and recommend appropriate revisions to
the Secretary (section 5.3).

17

1.5.	

Objectives

The objective of this PHS guideline is to present measures that can be used to minimize the risk
of human disease due to xenogeneic infectious agents including both recognized zoonoses and
non-zoonotic infectious agents that become capable of infecting humans due to the unique
facilitating circumstances of xenotransplantation. In order to achieve this goal, this document:
•	

Outlines the composition and function of the xenotransplantation team to ensure that
appropriate technical expertise can be applied (section 2.1).

•	

Addresses aspects of the clinical protocol, clinical center, and the informed consent and
patient education processes with respect to public health concerns raised by the
potential for infections associated with xenotransplantation (sections 2.2-2.5).

•	

Provides a framework for pre-transplantation animal source screening to minimize the
potential for transmission of xenogeneic infectious agents from the xenotransplantation
product to the human recipient (section 3, particularly sections 3.3-3.6).

•	

Provides a framework for post-xenotransplantation surveillance to monitor
transmission of infectious agents, including newly identified xenogeneic agents, to the
recipient as well as health care workers and other individuals in close contact with the
recipient (section 4, particularly sections 4.1.1. and 4.2.3.).

•	

Provides a framework for hospital infection control practices to reduce the risk of
nosocomial transmission of zoonotic and xenogeneic infectious agents (section 4.2.).

•	

Provides a framework for maintaining appropriate records, including human and
veterinary health care records (section 4.3. and 3.7), standard operating procedures of
facilities and centers (sections 3.2, 3.4), and occupational health service program
records (section 4.3).

•	

Provides a framework for archiving biologic samples from the source animal and the
xenotransplantation product recipient. These records and samples will be essential in
the event that public health investigations are necessitated by infectious diseases and
other adverse events arising from xenotransplantation that could affect the public health
(sections 3.7, 4.1.2., and 5.2).

•	

Discusses the creation of a national database that will enable population based public
health surveillance and investigation(s). (section 5.1).

18
•	

Discusses the creation of a Secretary’s Advisory Committee on Xenotransplantation
(SACX) that will consider the full range of complex and interrelated issues raised by
xenotransplantation, including ongoing and proposed protocols (sections 2.3. and 5.3.).

2. Xenotransplantation Protocol Issues.
2.1.	

Xenotransplantation team.

The development and implementation of xenotransplantation clinical research protocols require
expertise in the infectious diseases of both human recipients and source animals. Consequently,
in addition to health care professionals who have clinical experience with transplantation, the
xenotransplantation team should include as active participants:
(1) infectious disease physician(s) with expertise in zoonoses, transplantation, and
epidemiology; (2) veterinarian(s) with expertise in the animal husbandry issues and infectious
diseases relevant to the source animal; (3) specialist(s) in hospital epidemiology and infection
control; and (4) experts in research and diagnostic microbiology laboratory methodologies. The
sponsor should ensure that the appropriate expertise is available in the development and
implementation of the clinical protocol, including the onsite follow up of the xenotransplantation
product recipient.
2.2.	

Clinical Xenotransplantation Site

Any sites performing xenotransplantation clinical procedures should have experience and
expertise with and facilities for any comparable allotransplantation procedures.
All xenotransplantation clinical centers should utilize CLIA’88 (Clinical Laboratory
Improvements Act, amended in 1988) accredited virology and microbiology laboratories.
2.2.1. The safe conduct of xenotransplantation clinical trials should include the active
participation of laboratories with the ability to isolate and identify unusual and/or newly
recognized pathogens of both human and animal origin. Each protocol will present unique
diagnostic, surveillance, and research needs that require expertise and experience in the
microbiology and infectious diseases of both animals and humans. The sponsor should ensure
that persons and centers with appropriate experience and expertise are involved in the study
development, clinical application, and follow up of each protocol, either on-site or through
formal and documented off-site collaborations.
2.3.	

Clinical Protocol Review

All clinical trials involving xenotransplantation are subject to regulation by the FDA under the

19
Public Health Service Act (42 U.S.C. 262, 264) and the Federal Food, Drug, and Cosmetic
Act (21 U.S.C. 321 et seq.).
Sponsors are responsible for ensuring reviews by local review bodies as appropriate,
(Institutional Review Boards (IRBs), Institutional Animal Care and Use Committees
(IACUCs), Institutional Biosafety Committees (IBCs)), the FDA, and the SACX (upon
implementation by the Secretary, HHS). The scope and process for SACX review will be
described in subsequent publications.
Institutional review of xenotransplantation clinical trial protocols should address: (1) the
potential risks of infection for the recipient and contact populations (including health care
providers, family members, friends, and the community at large); (2) the conditions of source
animal husbandry (e.g., screening program, animal quarantine); and (3) issues related to human
and veterinary infectious diseases (including virology, laboratory diagnostics, epidemiology, and
risk assessment).
2.4.

Health Screening and Surveillance Plans

Clearly defined methodologies for pre-xenotransplantation screening for known infectious
agents and post-xenotransplantation surveillance are essential parts of clinical
xenotransplantation trials and should be clearly developed in all protocols. Prexenotransplantation screening includes screening of the source herd (sections 3.2. - 3.4.), the
source animal(s) (section 3.5.), and the nonhuman animal live cells, tissues or organs used in the
manufacture of the xenotransplantation product or the product itself (section 3.6.). Postxenotransplantation surveillance includes surveillance of the recipient(s) (section 4.1.), selected
health care workers or other contacts (section 4.2.), and the surviving source animal(s) (section
3.6.). The screening methods used and the specific agents sought will differ depending on the
procedure, cells, tissue, or organ used, the source animal, and the clinical indication for
xenotransplantation. Details of these screening and surveillance plans, including a summary of
the relevant aspects of the health maintenance and surveillance program of the herd and the
medical history of the source animal(s) (section 3) and written protocols for hospital infection
control practices regarding both xenotransplantation product recipients and health care workers
(section 4.2.) should be described in the materials submitted for review by the SACX, the
FDA, and the local review bodies.
2.5.

Informed Consent and Patient Education Processes

In the process of obtaining and documenting informed consent, the sponsor and investigators
should comply with all applicable regulatory requirement(s) (e.g., Title 45 Code of Federal
Regulations Part 46; Title 21 Code of Federal Regulations Parts 50 and 56), and should adhere

20
to Good Clinical Practices and to the ethical principles derived from the Belmont Report of the
National Commission for the Protection of Human Subjects of Biomedical and Behavioral
Research and to recommendations from the National Bioethics Advisory Board (NBAC). The
local IRB may consider having the consent process observed by a patient advocate (See e.g.,
45 CFR 46.109(e)). In addition, the sponsor should ensure that counseling regarding behavior
modification and other issues associated with risk of infection is provided to the patient and
made available to the patient’s family and contacts prior to and at the time of consent. Such
counseling should remain available on an ongoing basis thereafter.
The informed consent discussion, the informed consent document, and the written information
provided to potential xenotransplantation product recipients should address, at a minimum, the
following points relating to the potential risk associated with xenotransplantation:
2.5.1. The potential for infection with zoonotic agents known to be associated with the
nonhuman source animal species.
2.5.2. The potential for transmission to the recipient of unknown xenogeneic infectious agents.
The patient should be informed of the uncertainty regarding the risk of infection, whether such
infections might result in disease, the nature of disease that might result, and the possibility that
infections with these agents may not be recognized for an extended period of time.
2.5.3. The potential risk for transmission of xenogeneic infectious agents (and possible
subsequent manifestation of disease) to the recipient's family or close contacts, especially sexual
contacts. The recipient should be informed that immunocompromised persons may be at
increased risk of xenogeneic infections. The recipient should be counseled regarding behavioral
modifications that diminish the likelihood of transmitting infectious agents and relevant infection
control practices. (sections 4.2.1.1., 4.2.1.2., 4.2.1.5., and 4.2.3.1.).
2.5.4. The informed consent process should include a documented procedure to inform the
recipient of the responsibility to educate his/her close contacts regarding the possibility of
xenogeneic infections from the source animal species and to offer the recipient assistance with
this education process, if desired. Education of close contacts should address the uncertainty
regarding the risks of xenogeneic infections, information about behaviors known to transmit
infectious agents from human to human (e.g., unprotected sex, breast-feeding, intravenous drug
use with shared needles, and other activities that involve potential exchange of blood or other
body fluids) and methods to minimize the risk of transmission. Recipients should educate their
close contacts about the importance of reporting any significant unexplained illness through their
health care provider to the research coordinator at the institutions where the xenotransplantation
was performed.

21
2.5.5. The potential need for isolation procedures during any hospitalization (including to the
extent possible the estimated duration of such confinement and the specific symptoms/situation
that would prompt such isolation), and any specialized precautions needed to minimize
acquisition or transmission of infections following hospital discharge.
2.5.6. The potential need for specific precautions following hospital discharge to minimize the
risk that livestock of the source animal species and the recipient of the xenotransplantation
product will represent biohazards to each other. For example, if a recipient comes into contact
with the animal species from which the xenotransplantation product was procured, the
xenotransplantation product (and therefore the recipient) may have an increased risk from
exposures to agents infectious for the xenotransplantation product source species. Conversely,
the recipient may represent a biohazard to healthy livestock if the presence of the
xenotransplantation product enables the recipient to serve as a vector for outbreaks of disease
in source species livestock.
2.5.7. The importance of complying with long-term or life-long surveillance necessitating
routine physical evaluations and the archiving of tissue and/or body fluid specimens for public
health purposes even if the experiment fails and the xenotransplantation product is rejected or
removed. The schedule for clinical and laboratory monitoring should be provided to the extent
possible. The patient should be informed that any serious or unexplained illness in themselves
or their contacts should be reported immediately to the clinical investigator or his/her designee.
2.5.8. The responsibility of the xenotransplantation product recipient to inform the investigator
or his/her designee of any change in address or telephone number for the purpose of enabling
long-term health surveillance.
2.5.9. The importance of a complete autopsy upon the death of the xenotransplantation
product recipient, even if the xenotransplantation product was previously rejected or removed.
Advance discussion with the recipient and his/her family concerning the need to conduct an
autopsy is also encouraged in order to ensure that the recipient's intent is known to all relevant
parties.
2.5.10. The long term need for access by the appropriate public health agencies to the
recipient’s medical records. To the extent permitted by applicable laws and/or regulations, the
confidentiality of medical records should be maintained. The informed consent document should
include a statement describing the extent, if any, to which confidentiality of records identifying
the subject will be maintained (45 CFR 46.116 or 21 CFR 50.25(A)(5)).
2.5.11. As an interim precautionary measure, xenotransplantation product recipients and
certain of their contacts should be deferred indefinitely from donation of Whole Blood, blood

22
components, including Source Plasma and Source Leukocytes, tissues, breast milk, ova, sperm,
or any other body parts for use in humans. Pending further clarification, contacts to be deferred
from donations should include persons who have engaged repeatedly in activities that could
result in intimate exchange of body fluids with a xenotransplantation product recipient. For
example, such contacts may include sexual partners, household members who share razors or
toothbrushes, and health care workers or laboratory personnel with repeated percutaneous,
mucosal, or other direct exposures. These recommendations may be revised based on ongoing
surveillance of xenotransplantation product recipients and their contacts to clarify the actual risk
of acquiring xenogeneic infections, and the outcome of deliberations between FDA and its
advisors.
FDA has published a draft guidance document (“Guidance for Industry: Precautionary
Measures to Reduce the Possible Risk of Transmission of Zoonoses by Blood and Blood
Products from Xenotransplantation Product Recipients and Their Contacts”) for public
comment and will consult with its advisors to identify the range of xenotransplantation products
for which recipients and/or certain of their contacts should be recommended for deferral from
blood donation. Additionally, the range of contacts who should be deferred from blood
donation will be clarified after further public discussion.
2.5.12. Xenotransplantation product recipients who may wish to consider reproduction in the
future should be aware that a potential risk of transmission of xenogeneic infectious agents not
only to their partner but also to their offspring during conception, embryonic/fetal development
and/or breast-feeding cannot be excluded.
2.5.13. All centers where xenotransplantation procedures are performed should develop
appropriate xenotransplantation procedure-specific educational materials to be used in
educating and counseling both potential xenotransplantation product recipients and their
contacts. These materials should describe the xenotransplantation procedure(s), and the known
and potential risks of xenogeneic infections posed by the procedure(s) in appropriate language.
Those activities that are considered to be associated with the greatest risk of transmission of
infection to contacts should be described. Education programs should detail the circumstances
under which the use of personal protective equipment (e.g., gloves, gowns, masks) or special
infection control practices are recommended, and emphasize the importance of hand washing.
The potential for transmission of these agents to the general public should be discussed.
3.

Animal Sources for Xenotransplantation
Recognized zoonotic infectious agents and other organisms present in animals, such as normal
flora or commensals, may cause disease in humans when introduced by xenotransplantation,
especially in immunocompromised patients. The risk of transmitting xenogeneic infectious

23
agents is reduced by procuring source animals from herds or colonies that are screened and
qualified as free of specific pathogenic infectious agents and that are maintained in an
environment that reduces exposure to vectors of infectious agents. Precautions intended to
reduce risk should be employed in all steps of production (e.g., during animal husbandry,
procurement and processing of nonhuman animal live cells, tissues or organs used in the
manufacture of xenotransplantation products) and should be appropriate to each
xenotransplantation protocol. Before an animal species is used as a source of
xenotransplantation product(s), sponsors should adequately address the public health issues
raised. These issues are delineated in more detail below.
Procedures should be developed to identify incidents that negatively affect the health of the
herd. This information is relevant to the safety review of every xenotransplantation product
application. Such information, as well as the procedures to collect the information, should be
reported to FDA.
Some experts consider that nonhuman primates pose a greater risk of transmitting infections to
humans. The PHS recognized the substantial concerns about this issue that have been raised
within the scientific community and the general public. In its April 6, 1999 guidance on
nonhuman primate xenotransplantation products (“Guidance for Industry: Public Health Issues
Posed by the Use of Nonhuman Primate Xenografts in Humans”), FDA concluded, after
consulting with other PHS agencies, that at the current time there is not sufficient information to
assess the risks posed by nonhuman primate xenotransplantation. The FDA has determined
that:
“...(1) an appropriate federal advisory committee, such as the Secretary’s Advisory
Committee on Xenotransplantation (SACX) currently under development within the
DHHS, should address novel protocols and issues raised by the use of nonhuman primate
xenografts, conduct discussions, including public discussions as appropriate, and make
recommendations on the questions of whether and under what conditions the use of
nonhuman primate xenografts would be appropriate in the United States.
(2) clinical protocols proposing the use of nonhuman primate xenografts should not be
submitted to FDA until sufficient scientific information exists addressing the risks posed by
nonhuman primate xenotransplantation. Consistent with FDA Investigational New Drug
(IND) regulations [21 CFR 312.42(b)(1)(iv)], any protocol submission that does not
adequately address these risks is subject to clinical hold (i.e., the clinical trial may not
proceed) due to insufficient information to assess the risks and/or due to unreasonable
risk...”

24

3.1.

Animal Procurement Sources

All xenotransplantation products pose a risk of infection and disease to humans. Regardless of
the species of the source animal, precautions appropriate to each xenotransplantation product
protocol should be employed in all steps of production (animal husbandry, procurement and
processing of nonhuman animal live cells, tissues or organs) to minimize this risk. Source animal
procurement and processing procedures should include, at minimum, the following precautions:
3.1.1. Cells, tissues, and organs intended for use in xenotransplantation should be procured
only from animals that have been bred and reared in captivity and that have a documented, well
characterized health history and lineage.
3.1.2. Source animals should be raised in facilities with adequate barriers, i.e. biosecurity, to
prevent the introduction or spread of infectious agents. Animals should also be obtained from
herds or colonies with restricted admission of new animals. Such closed herds or colonies
should be free of infectious agents that are relevant to the animal species and that may pose risk
to the patient and/or the public. An infectious agent may pose risk to the patients and/or public
if it can infect, cause disease in, and transmit among humans, or if its ability to infect, cause
disease in, or transmit among humans remains inadequately defined. In this regard, persistent
viral infections are of particular concern. Source animals should specifically be free of infection
with any identifiable exogenous persistent virus. Breeding programs utilizing caesarean
derivation of animals reduce the risk of maternal-fetal transmission of infectious agents and
should be used whenever possible. The prevalence of exposure to these agents should be
documented through periodic surveillance of the herd or colony using serologic and other
appropriate diagnostic methodologies.
3.1.3. Animals from minimally controlled environments such as closed corrals (captive freeranging animals) should not be used as source animals for xenotransplantation. Such animals
have a higher likelihood of harboring adventitious infectious agents from uncontrolled contact
with arthropods and/or other animal vectors.
3.1.4. Wild-caught animals should not be used as source animals for xenotransplantation.
3.1.5. Animals or live animal cells, tissues, or organs obtained from abattoirs should not be
used for xenotransplantation. Such animals are obtained from geographically divergent farms or
markets and are more likely to carry infectious agents due to increased exposure to other
animals and increased activation and shedding of infectious agents during the stress of slaughter.
In addition, health histories of slaughterhouse animals are usually not available.
3.1.6. Imported animals or the first generation of offspring of imported animals should not be

25
used as source animals for xenotransplantation unless the animals belong to a species or strain
(including transgenic animals) not available for use in the United States and their use is
scientifically warranted. In this case, the imported animals should be documented to have been
bred and continuously maintained in a manner consistent with the principles in this document.
The source animal facility, production process and records are subject to inspection by the
FDA (Federal Food, Drug and Cosmetic Act, [21 USC 374]). The US Department of
Agriculture (USDA), Animal and Plant Health Inspection Service (APHIS), Veterinary
Services (VS) regulates the importation of all animals and animal-origin materials that could
represent a disease risk to U.S. livestock and poultry (9 CFR Part 122). Importation or
interstate transport of any animal and/or animal-origin material that may represent such a
disease risk requires a USDA permit. In addition, plans for testing and quarantine of the
imported animals as well as health maintenance and surveillance of the herd or colony into
which imported animals are introduced should be conducted by a veterinarian who is either
specifically trained in or who otherwise has a solid background in foreign animal diseases.
3.1.7. Source animals from species in which transmissible spongiform encephalopathies have
been reported should be obtained from closed herds with documented absence of dementing
illnesses and controlled food sources for at least 2 generations prior to the source animal
(section 3.2.6.3). Xenotransplantation products should not be obtained from source animals
imported from any country or geographic region where transmissible spongiform
encephalopathies are known to be present in the source species or from which the USDA
prohibits or restricts importation of ruminants or ruminant products due to concern about
transmissible spongiform encephalopathies.
3.1.8. The CDC, Division of Quarantine, regulates the importation of certain animals, including
nonhuman primates (NHP), because of their potential to cause serious outbreaks of
communicable disease in humans (42 CFR Part 71). Importers must register with CDC, certify
imported NHP will be used only for scientific, educational, and exhibition purposes, implement
disease control measures, maintain records regarding each shipment, and report suspected
zoonotic illness in animals or workers.
Further, the importation and/or transfer of known or potential etiological agents, hosts, or
vectors of human disease (including biological materials) may require a permit issued by CDC's
Office of Health and Safety.
3.2.

Source Animal Facilities

Potential source animals should be housed in facilities built and operated taking into account the
factors outlined in this section.

26
3.2.1. Source Animal Facilities (facilities providing source animals for xenotransplantation)
should be designed and maintained with adequate barriers to prevent the introduction and
spread of infectious agents. Entry and exit of animals and humans should be controlled to
minimize environmental exposures/inadvertent exposure to transmissible infectious agents.
Source Animal Facilities should not be located in geographic proximity to manufacturing or
agricultural activities that could compromise the biosecurity of these facilities.
3.2.2. Source Animal Facilities should have veterinarians on staff who possess expertise in the
infectious diseases prevalent in the animal species and the emergency clinical care of the
species. Facilities should also have persons with expertise in research virology and
microbiology either on staff or as established consultants. These facilities should also maintain
active and documented collaboration with accredited microbiology laboratories.
3.2.3. Procedures should be in place to assure the humane care of all animals (see e.g., the
Animal Welfare Regulations as amended in 1985 (9 CFR Parts 1, 2, and 3) and the PHS
Policy on the Humane Care and Use of Laboratory Animals).
3.2.4. Source Animal Facilities should incorporate procedures consistent with those set forth
for accreditation by the Association for Assessment and Accreditation of Laboratory
Animal Care International (AAALAC International) and should be consistent with the National
Research Council’s Guide for the Care and Use of Laboratory Animals (1996).
3.2.5. Source Animal Facilities should have a documented health surveillance system.
3.2.6. The Source Animal Facility standard operating procedures should thoroughly describe
the following: (1) criteria for animal admission, including sourcing and entry procedures, (2)
description of the disease monitoring program, (3) criteria for the isolation or elimination of
diseased animals, including a diagnostic algorithm for ill and dead animals, (4) facility cleaning
and disinfecting arrangements, (5) the source and delivery of feed, water and supplies, (6)
measures to exclude arthropods and other animals, (7) animal transportation, (8) dead animal
disposition, (9) criteria for the health screening and surveillance of humans entering the facility,
and (10) permanent individual animal identification.
3.2.6.1. Animal movement through the secured facility should be described in the standard
operating procedures of the facility. All animals introduced into the source colony other than by
birth should go through a well defined quarantine and testing period (section 3.5). With regard
to the reproduction and raising of suitable replacement animals, the use of methods such as
artificial insemination (AI), embryo transfer, medicated early weaning, cloning, or
hysterotomy/hysterectomy and fostering may minimize further colonization with infectious
agents.

27

3.2.6.2. During final screening and qualification of individual source animals and procurement
of live cells, tissues or organs for use in xenotransplantation, the potential for transmission of an
infectious agent should be minimized by established standard operating procedures. One
method to accomplish this is a step-wise “batch” or “all-in/all-out” method of source animal
movement through the facility rather than continuous replacement movement. With the “allin/all-out” or “batch” method, a cohort of qualified animals is quarantined from the closed herd
or colony while undergoing final screening qualification and xenogeneic biomaterial
procurement. After the entire cohort of source animals is removed, the quarantine and
xenogeneic biomaterial processing areas of the animal facility are then cleaned and disinfected
prior to the introduction of the next cohort of source animals.
3.2.6.3. The feed components, including any antibiotics or other medicinals or other additives,
should be documented for a minimum of two generations prior to the source animal.
Pasteurized milk products may be included in feeds. The absence of other mammalian
materials, including recycled or rendered materials, should be specifically documented. The
absence of such materials is important for the prevention of transmissible spongiform
encephalopathies and other infectious agents. Potentially extended periods of clinical latency,
severity of consequent disease, and the difficulty in
current detection methods highlight the importance of eliminating risk factors associated with
transmissible spongiform encephalopathies.
3.2.7. The sponsor should establish records linking each xenotransplantation product recipient
with the relevant health history of the source animal, herd or colony, and the specific organ,
tissue, or cell type included in the xenotransplantation product or used in the manufacture of the
xenotransplantation product. The relevant records include information on the standard operating
procedures of the animal procurement facility, the herd health surveillance, and the lifelong
health history of the source animal(s) for the xenotransplantation product (sections 3.2. - 3.7.).
3.2.7.1. The sponsor should maintain these record systems and an animal numbering or other
system that allows easy, accurate, and rapid linkage between the information contained in these
different record systems and the xenotransplantation product recipient for 50 years beyond the
date of xenotransplantation. If record systems are maintained in a computer database,
electronic back ups should be kept in a secure office facility and back up on hard copy should
be routinely performed.
3.2.7.2. In the event that the Source Animal Facility ceases to operate, the facility should either
transfer all animal health records and specimens to the respective sponsors or notify the
sponsors of the new archive site. If the sponsor ceases to exist, decisions on the disposition of
the archived records and specimens should be made in consultation with the FDA.

28
3.2.8. All animal facilities should be subject to inspection by designated representatives of the
clinical protocol sponsor and public health agencies. The sponsor is responsible for
implementing and maintaining a routine facilities inspection program for quality control and
quality assurance.
3.3.

Pre-xenotransplantation Screening for Known Infectious Agents

The following points discuss measures for appropriate screening of known infectious agents in
the herd, individual source animal and the nonhuman animal live cells, tissues or organs used in
xenotransplantation. The selection of assays for pre-transplant screening should be determined
by the source of the nonhuman animal live cells, tissues or organs and the intended clinical
application of the xenotransplantation product. General guidance on adventitious agent testing
may be found in ‘Points to Consider for the Characterization of Cell Lines Used to Produce
Biologicals’(FDA, CBER, 1993), and a guidance document from the International Conference
on Harmonization: ‘Q5D Quality of Biotechnological/Biological Products: Derivation and
Characterization of Cell Subsets Used for Production of Biotechnological/Biological Products’.
3.3.1. The design of preclinical studies intended to identify infectious agents in the
xenotransplantation product and/or the nonhuman animal live cells, tissues or organs intended
for use in the manufacture of xenotransplantation products should take into consideration the
source animal species and the specific manner in which the xenotransplantation product will be
used clinically. These studies should identify infectious agents and characterize their potential
pathogenicity and tropism for human cells by appropriate in vivo and in vitro assays.
Characterization of persistent viral infections and endogenous retroviruses present in source
animals cells, tissues or organs is particularly important. The information from these studies is
necessary for the identification and development of appropriate assays for xenotransplantation
product screening programs.
3.3.2. Programs for screening and detection of known infectious agents in the herd or colony,
the individual source animal, and the xenotransplantation product itself or the nonhuman animal
live cells, tissues or organs used in the manufacture of xenotransplantation products should take
into account the infectious agents associated with the source animals used, the stringency of the
husbandry techniques employed, and the manner in which the xenotransplantation product will
be used clinically. These programs should be updated periodically to reflect advances in the
knowledge of infectious diseases. The sponsor should develop an adequate screening program
in consultation with appropriate experts including oversight and regulatory bodies.
3.3.3. Assays used for screening and detection of infectious agents should have well defined
and documented sensitivity, specificity, and reproducibility in the setting in which they are
employed. In addition to assays for specific infectious agents, the use of assays capable of

29
detecting broad ranges of infectious agents is strongly encouraged. In vivo assays involving
animal models may require different standards for evaluation. Assays under development may
complement the screening process.
3.3.4. Samples from the xenotransplantation product itself or of the nonhuman animal live cells,
tissues or organs used in the manufacture of the xenotransplantation product, whenever
possible, or from an appropriate biologic proxy should be tested preclinically with cocultivation assays. These assays should include a panel of appropriate indicator cells, which
may include human peripheral blood mononuclear cells (PBMC), to facilitate amplification and
detection of endogenous retroviruses and other xenogeneic viruses capable of producing
infection in humans. Agents that may be latent are of particular concern and their detection may
be facilitated by using chemical and irradiation methods.
3.3.5. All xenotransplantation products should be screened by direct culture for bacteria, fungi,
and mycoplasma (see, e.g., 21 CFR Part 600-680). In addition, universal PCR probes for the
presence of micro-organisms are available and should be considered to complement the
screening of xenotransplantation products.

3.4.

Herd/Colony Health Maintenance and Surveillance

The principal elements recommended to qualify a herd or colony as a source of animals for use
in xenotransplantation include: (1) closed herd or colony of stock (optimally caesarian derived)
raised in barrier facilities; and (2) adequate surveillance programs for infectious agents. The
standard operating procedures of the animal facility with regard to the herd or colony health
maintenance and surveillance programs relevant to the specific xenotransplantation product
usage should be documented and available to appropriate review bodies. Medical records for
the herd or colony and the specific individual source animals should be maintained by the animal
facility or the sponsor, as appropriate, for 50 years beyond the date of the xenotransplantation.
3.4.1. Herd or colony health measures that constitute standard veterinary care for the species
(e.g., anti-parasitic measures) should be implemented and recorded at the animal facility. For
example, aseptic techniques and sterile equipment should be used in all parenteral interventions
including vaccinations, phlebotomy, and biopsies. All incidents that may affect herd or colony
health should be recorded (e.g., breaks in the environmental barriers of the secured facility,
disease outbreaks, or sudden animal deaths). Vaccination and screening schedules should be
described in detail and taken into account when interpreting serologic screening tests.
Prevention of disease by protection from exposure is generally preferable to vaccination, since
this preserves the ability of serologic screening to define herd exposures. In particular, the use
of live vaccines is discouraged, but may be justified when dead or acellular vaccines are not

30
available and barriers to exposure are inadequate to prevent the introduction of infectious
agents into the herd or colony.
3.4.2. In addition to standard medical care, the herd/colony should be monitored for the
introduction of infectious agents which may not be apparent clinically. The sponsor should
describe the monitoring program, including the types and schedules of physical examinations
and laboratory tests used in the detection of all infectious agents, and document the results.
3.4.3. Routine testing of closed herds or colonies in the United States should concentrate on
zoonoses known to exist in captive animals of the relevant species in North America. Since
many important pathogens are not endemic to the United States or have been found only in
wild-caught animals, testing of breeding stock and maintenance of a closed herd or colony
reduces the need for extensive testing of individual source animals. Herd or colony geographic
locations are relevant to consideration of presence and likelihood of pathogens in a given herd
or colony. The geographic origin of the founding stock of the colony, including quarantine and
screening procedures utilized when the closed colony was established, should be taken into
consideration. Veterinarians familiar with the prevalence of different infectious agents in the
geographic area of source animal origin and the location where the source animals are to be
maintained should be consulted.
3.4.3.1. As part of the surveillance program, routine serum samples should be obtained from
randomly selected animals representative of the herd or colony population. These samples
should be tested for indicators of infectious agents relevant to the species and epidemiologic
exposures. Additional directed serologic analysis, active culturing, or other diagnostic
laboratory testing of individual animals should be performed in response to clinical indications.
Infection in one animal in the herd justifies a larger clinical and epidemiologic evaluation of the
rest of the herd or colony. Aliquots of serum samples collected during routine surveillance and
specific disease investigations should be maintained for 50 years beyond the date of sample
collection. The Source Animal Facility or the sponsor should maintain these specimens (either
on- or off-site) for investigations of unexpected diseases that occur in the herd, colony,
individual source animals, or animal facility staff. These herd health surveillance samples, which
are not archived for PHS investigation purposes, should nonetheless be made available to the
PHS if needed. (section 3.7.)
3.4.3.2. Any animal deaths, including stillbirths or abortions, where the cause is either unknown
or ambiguous should lead to full necropsy and evaluation for infectious etiologies (including
transmissible spongiform encephalopathies) by a trained veterinary pathologist. Results of these
investigations should be documented.
3.4.4. Standard operating procedures that include maintenance of a subset of sentinel animals

31
are encouraged. Monitoring of these animals will increase the probability of detection of
subclinical, latent, or late-onset diseases such as transmissible spongiform encephalopathies.
3.5.

Individual Source Animal Screening and Qualification
The qualification of individual source animals should include documentation of breed and
lineage, general health, and vaccination history, particularly the use of live and/or live attenuated
vaccines (section 3.4.1). The presence of pathogens that result in acute infections should be
documented and controlled by clinical examination and treatment of individual source animals,
by use of individual quarantine periods that extend beyond the incubation period of pathogens
of concern, and by herd surveillance indicating the presence or absence of infection in the herd
from which the individual source animal is selected. The use of any drugs or biologic agents for
treatment should be documented. During quarantine and/or prior to procurement of live cells,
tissues or organs for use in xenotransplantation, individual source animals should be screened
for infectious agents relevant to the particular intended clinical use of the planned
xenotransplantation product. The screening program should be guided by the surveillance and
health history of the herd or colony.
3.5.1. In general, individual source animals should be quarantined for 3 weeks prior to
procurement of live cells, tissues or organs for use in xenotransplantation. During the quarantine,
acute illnesses due to infectious agents to which the animal may have been exposed shortly
before removal from the herd or colony would be expected to become clinically apparent. It
may be appropriate to modify the need for and duration of individual quarantine periods
depending on the characterization and surveillance of the source animal herd or colony, the
design of the facility in which the herd is bred and maintained, and the clinical urgency. When
the quarantine period is shortened or eliminated, justification should be documented and any
potentially increased infectious risk should be addressed in the informed consent document.
3.5.1.1. During the quarantine period, candidate source animals should be examined by a
veterinarian and screened for the presence of infectious agents (bacteria including rickettsiae
when appropriate, parasites, fungi, and viruses) by appropriate serologies and cultures, serum
clinical chemistries (including those specific to the function of the organ or tissue to be
procured), complete blood count and peripheral blood smear, and fecal exam for parasites.
Evaluation for viruses which may not be recognized zoonotic agents but which have been
documented to infect either human or nonhuman primate cells in vivo or in vitro should be
considered. Particular attention should be given to viruses with demonstrated capacity for
recombination, complementation, or pseudotyping. Surveillance of a closed herd or colony (as
described in section 3.4.3.) will minimize the additional screening necessary to qualify individual
member animals. The nature, timing, and results of surveillance of the herd or colony from
which the individual animal is procured should be considered in designing appropriate additional

32
screening of individual animals. These tests should be performed as closely as possible to the
date of xenotransplantation while ensuring availability of results prior to clinical use.
3.5.1.2. Screening of a candidate source animal should be repeated prior to procurement of
live cells, tissues or organs for use in xenotransplantation if a period greater than three months
has elapsed since the initial screening and qualification were performed or if the animal has been
in contact with other non-quarantined animals between the quarantine period and the time of
cells, tissue or organ procurement.
3.5.1.3. Transportation of source animals may compromise the microbiologic protection
ensured by the closed colony. Careful attention to conditions of transport can minimize disease
exposures during shipping. Microbiological isolation of the source animal during transit is
critically important. Source animals should be transported using a system that reliably ensures
microbiological isolation. Transported source animals should be quarantined for a minimum
period of three weeks after transportation, during which time appropriate screening should be
performed. The sponsor may propose a shorter quarantine period if appropriate justification
(that reflects the level of containment and the duration of the transportation) is provided. When
source animals are transported intact, the sponsor should consult the FDA about further details
of appropriate transport, quarantine, and screening. If the animals are transported across state
or federal boundaries the USDA should be consulted.
3.5.1.4. For the reasons cited above, it is preferable, whenever feasible, to procure live cells,
tissues or organs for use in xenotransplantation at the animal facility. Precautions employed
during transport to ensure microbiological isolation of the procured xenotransplantation product
or live cells, tissues or organs should be documented.
3.5.2. All procured cells, tissues and organs intended for use in xenotransplantation should be
as free of infectious agents as possible. The use of source animals in which infectious agents,
including latent viruses, have been identified should be avoided. However, the presence of an
infectious agent in certain anatomic sites, for example the alimentary tract, should not preclude
use of the source animal if the agent is documented to be absent in the xenotransplantation
product.
3.5.3. When feasible a biopsy of the nonhuman animal live cells, tissues or organs intended for
use in xenotransplantation, the xenotransplantation product itself, or other relevant tissue should
be evaluated for the presence of infectious agents by appropriate assays and histopathology
prior to xenotransplantation, and then archived (section 3.7).
3.5.4. The sponsor should ensure that the linked records described in section 3.2.7. are
available for review when appropriate by the local review bodies, the SACX, and the FDA.

33
These records should include information on the results of the quarantine and screening of
individual xenotransplantation source animals. In addition to records kept at the Source Animal
Facility, a summary of the individual source animal record should accompany the
xenotransplantation product and be archived as part of the medical record of the
xenotransplantation product recipient.
3.5.5. The Source Animal Facility should notify the sponsor in the event that an infectious agent
is identified in the source animal or herd subsequent to procurement of live cells, tissues or
organs for use in xenotransplantation (e.g., identification of delayed onset transmissible
spongiform encephalopathies in a sentinel animal).
3.5.6. The sponsor should ensure that the quarantine, screening, and qualification program is
appropriately tailored to the specific source animal species, the animal husbandry history, the
process for procuring the xenogeneic biomaterial and preparing the xenotransplantation
product, and the clinical application. The sponsor should also ensure that the results of these
procedures are reviewed and approved by persons with the appropriate expertise prior to the
clinical application.
3.6.	

Procurement and Screening of Nonhuman Animal Live Cells, Tissues or
Organs Used for Xenotransplantation

3.6.1. Procurement and processing of cells, tissues and organs should be performed using
documented aseptic conditions designed to minimize contamination. These procedures
should be conducted in designated facilities which may be subject to inspection by appropriate
oversight and regulatory authorities.
3.6.2. Cells, tissues or organs intended for xenotransplantation that are maintained in culture
prior to xenotransplantation should be periodically screened for maintenance of sterility,
including screening for viruses and mycoplasma. The FDA publications titled "Guidance for
Industry: Guidance for Human Somatic Cell Therapy and Gene Therapy (1998)"; “Points To
Consider in the Characterization of Cell Lines Used to Produce Biologicals (1993)”; and
“Points to Consider in the Manufacture and Testing of Therapeutic Products for Human Use
Derived from Transgenic Animals (1995)” should be consulted for guidance. The sponsor
should develop, implement, and stringently enforce the standard operating procedures for the
procurement and screening processes. Procedures that may inactivate or remove pathogens
without compromising the integrity and function of the xenotransplantation product should be
employed.
3.6.3. All steps involved in the procuring, processing, and screening of live cells, tissues or
organs or xenotransplantation products to the point of xenotransplantation should be rehearsed

34
preclinically to ensure reproducible quality control.
3.6.4. If nonhuman animal live cells, tissues or organs for use in xenotransplantation are
procured without euthanatizing the source animal, the designated PHS specimens should be
archived (PHS specimens are discussed in section 3.7.1.) and the animal's health should be
monitored for life. When source animals die or are euthanatized, a complete necropsy with
gross, histopathologic and microbiological evaluation by a trained veterinary pathologist should
follow, regardless of the time elapsed between xenogeneic biomaterial procurement and death.
This should include evaluation for transmissible spongiform encephalopathies. The sponsor
should maintain documentation of all necropsy results for 50 years beyond the date of necropsy
as part of the animal health record (sections 3.2.7. and 3.4.). In the event that the necropsy
reveals findings pertinent to the health of the xenotransplantation product recipient(s) (e.g.,
evidence of transmissible spongiform encephalopathies) the finding should be communicated to
the FDA without delay (see e.g., 21 CFR 312.32).
3.7.

Archives of Source Animal Medical Records and Specimens

Systematically archived source animal biologic samples and record keeping that allows rapid
and accurate linking of xenotransplantation product recipients to the individual source animal
records and archived biologic specimens are essential for public health investigation and
containment of emergent xenogeneic infections.
3.7.1. Source animal biologic specimens designated for PHS use (as outlined below) should be
banked at the time of xenogeneic biomaterial procurement. These specimens should remain in
archival storage for 50 years beyond the date of the xenotransplantation to permit retrospective
analyses if a public health need arises. Such archived specimens should be readily accessible to
the PHS and remain linked to both source animal and recipient health records.
At the time of procurement of nonhuman animal live cells, tissues or organs for use in
xenotransplantation, plasma should be collected from the source animal and stored in sufficient
quantity for subsequent serology and viral testing. In addition, the sponsor should recover and
bank sufficient aliquots of cryopreserved leukocytes for subsequent isolation of nucleic acids
and proteins as well as aliquots for thawing viable cells for viral co-culture assays or other tissue
culture assays. Ideally at least ten 0.5 cc aliquots of citrated or EDTA-anticoagulated plasma
should be banked. At least five aliquots of viable (1x10 7) leukocytes should be cryopreserved.
It may also be appropriate to collect paraffin-embedded, formalin fixed, and cryopreserved
tissue samples from source animal organs relevant to the specific protocol at the time of
xenogeneic biomaterial procurement. Additionally, cryopreserved tissue samples representative
of major organ systems (e.g., spleen, liver, bone marrow, central nervous system, lung,) should
be collected from source animals at necropsy. The material submitted for review by FDA and,

35
when appropriate, the Secretary’s Advisory Committee on Xenotransplantation (under
development, see section 5.3) should justify the types of tissues, cells, and plasma taken for
storage and any smaller quantities of plasma and leukocytes collected.
3.7.2. The sponsor should maintain archives of designated PHS specimens (section 3.7.1.) and
serum collected for herd surveillance for 50 years beyond the date of collection (section
3.4.3.1.), and animal health records for 50 years beyond the date of the animal’s death
(sections 3.2.7.).
3.8.

Disposal of Animals and Animal By-products

The need for advanced planning for the ultimate disposition of source and sentinel animals bred
for xenotransplantation, especially animals of species ordinarily used to produce food, should
be anticipated. Generally source and sentinel animals should not be used as pets, breeding
animals, sources of human food via milk or meat, or as ingredients of feed for other animals
because of their potential to enter the human or animal food chain.
3.8.1. There may be species specific situations where animals from xenotransplant facilities can
be considered to be safe for human food use or as feed ingredients when disposed of through
rendering. FDA’s Center for Veterinary Medicine (CVM) regulates animal feed ingredients and
also establishes conditions for the release of animals to the USDA Food Safety Inspection
Service for inspection as food for humans. Persons wishing to offer animals into the human food
or animal feed supply or who have food safety questions should consult with CVM. Food
safety issues will be referred to CVM.
3.8.2. Animals from biomedical facilities that have not been authorized for release by CVM
into the human food or animal feed supply may be adulterated under the Federal Food, Drug
and Cosmetic Act (21 U.S.C. 321 et seq.), unfit for food or feed, and potentially infectious.
They should be disposed of in a manner consistent with infectious medical waste in compliance
with federal, state and local requirements.
4.

Clinical Issues
4.1.

Xenotransplantation Product Recipient

4.1.1. Surveillance of the xenotransplantation product recipient
Post-xenotransplantation clinical and laboratory surveillance of xenotransplantation product
recipients is critical, as it provides the means of monitoring for any introduction and propagation
of xenogeneic infectious agents in the xenotransplantation product recipient. The sponsor should

36
carry out, and ensure documentation of, the surveillance program. Life-long postxenotransplantation surveillance of xenotransplantation product recipients is appropriate.
4.1.1.1. Recipients should be evaluated throughout their lifetime for adverse clinical events
potentially associated with xenogeneic infections.
4.1.1.2. Laboratory surveillance of the xenotransplantation product recipient should be
instituted when xenogeneic infectious agents are known or suspected to be present in the
xenotransplantation product. Minimally, laboratory surveillance should be conducted for
evidence of recipient infection with all identified xenotropic endogenous retroviruses known to
be present in the source animal. The intent of active screening in this setting is detection of
sentinel human infections prior to dissemination in the general population. Serum, PBMCs,
tissue or other body fluids should be assayed at intervals post-xenotransplantation for
xenogeneic agents known or suspected to be present in the xenotransplantation product.
Laboratory surveillance should include frequent screening in the immediate postxenotransplantation period (e.g., at 2, 4, and 6 weeks after xenotransplantation) that decreases
in frequency if evidence of infection remains absent.
It is critical that adequate diagnostic assays and methodologies for surveillance of known
infectious agents from the source animal are available prior to initiating the clinical trial. The
sensitivity, specificity, and reproducibility of these testing methods should be documented under
conditions that simulate those employed at the time of and following the xenotransplantation
procedure. As with pre-xenotransplantation screening, assays under development may
complement the surveillance process (see section 3.3.3.).
The laboratory surveillance should include methods to detect infectious agents known to
establish persistent latent infections in the absence of clinical symptoms (e.g., herpesviruses,
retroviruses, papillomaviruses) and that are known or suspected to have been present in the
xenotransplantation product. When the xenogeneic viruses of concern have similar human
counterparts (e.g., simian cytomegalovirus), assays to distinguish between the two should be
used in the post-xenotransplantation laboratory surveillance. Depending upon the degree of
immunosuppression in the recipient, serological assays may be or may not be useful. Methods
for analysis may include co-cultivation of cells coupled with appropriate detection assays.
4.1.2. Xenotransplantation Product Recipients’ Biologic Specimens Archived for Public Health
Investigations (PHS Specimens).
Biological specimens obtained from the xenotransplantation product recipients and designated
for public health investigations (as distinct from specimens collected for clinical evaluation or
laboratory surveillance) should be archived for 50 years beyond the date of the

37
xenotransplantation to allow retrospective investigation of xenogeneic infections. The type and
quantity of specimens archived may vary with the clinical procedure and the age of the
xenotransplantation product recipient. In the application for FDA review, which may also be
reviewed by the SACX, the sponsor should justify the amount and types of specimens to be
designated for PHS use, including any differences from the recommendations described below.
At selected time points, at least three to five 0.5 cc aliquots of citrated or EDTA-anticoagulated
plasma should be recovered and archived. At least two aliquots of viable (1 x 10 7) leukocytes
should be cryopreserved. Specimens from any xenotransplantation product that is removed
(e.g., post-rejection or at the time of death) should be archived.
The following schedule for archiving biological specimens is recommended: (1) Prior to the
xenotransplantation procedure, 2 sets of samples should be collected and archived one month
apart. If this is not feasible then two sets should be collected and archived at times that are
separated as much as possible. One set should be collected immediately prior to the
xenotransplantation. (2) Additional sets should be archived in the immediate postxenotransplantation period and at approximately one month and six months after
xenotransplantation. (3) Collection should then be obtained annually for the first two years after
xenotransplantation. (4) After that, specimens should be archived every five years for the
remainder of the recipient’s life. More frequent archiving may be indicated by the specific
protocol or the recipient’s medical course.
4.1.2.1. In the event of recipient’s death, snap-frozen samples stored at -70 o C, paraffin
embedded tissue, and tissue suitable for electron microscopy should be collected at autopsy
from the xenotransplantation product and all major organs relevant to either the
xenotransplantation or the clinical syndrome that resulted in the patient’s death. These
designated PHS specimens should be archived for 50 years beyond the date of collection.
4.1.2.2. The sponsor should maintain an accurate archive of the PHS specimens. In the
absence of a central facility (section 5.2), these specimens should be archived with the
safeguards necessary to ensure long-term storage (e.g., a monitored storage freezer alarm
system and specimen archiving in split portions in separate freezers) and an efficient system for
the prompt retrieval and linkage of data to medical records of recipients and source animals.
The sponsor should maintain these archives and a record system that allows easy, accurate, and
rapid linkage of information among the different record systems (i.e., the specimen archive, the
recipient’s medical records and the records of the source animal) for 50 years beyond the date
of xenotransplantation. If record systems are maintained in a computer database, electronic
back ups should be kept in a secure office facility and back up on hard copy should be
routinely performed.

38
4.1.2.3. A clinical episode potentially representing a xenogeneic infection should prompt
notification of the FDA, which will notify other federal and state health authorities as
appropriate. Under these circumstances, the PHS may decide that an investigation involving the
use of these archived biologic specimens is warranted to assess the public health significance of
the infection.
4.2.

Infection Control

4.2.1. Infection control practices
4.2.1.1. Strict adherence to recommended infection control measures will reduce the risk of
transmission of xenogeneic infections and other blood borne and nosocomial pathogens.
Standard Precautions should be used for the care of all patients. Standard Precautions includes
hand washing before and after each patient contact, appropriate use of barriers, and care in the
use and disposal of needles and other sharp instruments.
4.2.1.2. Additional infection control or isolation precautions (e.g., Airborne, Droplet, Contact)
should be employed as indicated in the judgment of the hospital epidemiologist and the
xenotransplantation team infectious disease specialist. For example, appropriate isolation
precautions for each hospitalized xenotransplantation product recipient will depend upon the
type of xenotransplantation, the extent of immunosuppression, and patient symptoms. Isolation
precautions should be continued until a diagnosis has been established or the patient symptoms
have resolved. The appropriateness of isolation precautions and other infection control
measures should be reassessed when the diagnosis is established, the patient’s symptoms
change, and at the time of readmission and discharge. Discharge instructions should include
specific education on appropriate infection control practices following discharge, including any
special precautions recommended for disposal of biologic products. The most restrictive level
of isolation
should be used when patients exhibit respiratory symptoms because airborne transmission of
infectious agents is most concerning.
4.2.1.3. Health care personnel, including xenotransplantation team members, should adhere to
recommended procedures for handling and disinfection/sterilization of medical instruments and
disposal of infectious waste.
4.2.1.4. Biosafety level 2 (BSL-2) standard and special practices, containment equipment and
facilities should be used for activities involving clinical specimens from xenotransplantation
product recipients. Particular attention should be given to sharps management and bioaerosol
containment. BSL-3 standard and special practices and containment equipment should be
employed in a BSL-2 facility when propagating an unidentified infectious agent isolated from a

39
xenotransplantation product recipient.
4.2.2. Acute Infectious Episodes
Most acute viral infectious episodes among the general population are never etiologically
identified. Xenotransplantation product recipients are at risk for these infections and other
infections common among immunosuppressed allograft recipients. When the source of an illness
in a recipient remains unidentified despite standard diagnostic procedures, it may be
appropriate to perform additional testing of body fluid and tissue samples. The infectious
disease specialist, in consultation with the hospital epidemiologist, the veterinarian, the clinical
microbiologist and other members of the xenotransplantation team should assess each clinical
episode and make a considered judgment regarding the significance of the illness, the need and
type of diagnostic testing and specific infection control precautions. Other experts on infectious
diseases and public health may also need to be consulted.
4.2.2.1. In immunosuppressed xenotransplantation product recipients, assays of antibody
response may not detect infections reliably. In such patients, culture systems, genomic
detection methodologies and other techniques may detect infections for which serologic testing
is inadequate. Consequently, clinical centers where xenotransplantation is performed should
have the capability to culture and to identify viral agents using in vitro and in vivo methodologies
either on site or through active and documented collaborations. Specimens should be handled
to ensure viability and to maximize the probability of isolation and identification of fastidious
agents. Algorithms for evaluation of unknown xenogeneic pathogens should be developed in
consultation with appropriate experts, including persons with expertise in both medical and
veterinary infectious diseases, laboratory identification of unknown infectious agents and the
management of biosafety issues associated with such investigations.
4.2.2.2. Acute and convalescent sera obtained in association with acute unexplained illnesses
should be archived when judged appropriate by the infectious disease physician and/or the
hospital epidemiologist. This would permit retrospective study and perhaps the identification of
an etiologic agent.
4.2.3. Health Care Workers
The risk to health care workers who provide post-xenotransplantation care to
xenotransplantation product recipients is undefined. However, health care workers, including
laboratory personnel, who handle the animal tissues/organs prior to xenotransplantation will
have a definable risk of infection not exceeding that of animal care, veterinary, or abattoir
workers routinely exposed to the source animal species provided equivalent biosafety standards
are employed.

40
The sponsor should ensure that a comprehensive Occupational Health Services program is
available to educate workers regarding the risks associated with xenotransplantation and to
monitor for possible infections in workers. The Occupational Health Service program should
include:
4.2.3.1. Education of Health Care Workers
All centers where xenotransplantation procedures are performed should develop appropriate
xenotransplantation procedure-specific educational materials for their staff. These materials
should describe the xenotransplantation procedure(s), the known and potential risks of
xenogeneic infections posed by the procedure(s), and research or health care activities that may
pose the greatest risk of infection or nosocomial transmission of zoonotic or other infectious
agents. Education programs should detail the circumstances under which the use of Standard
Precautions and other isolation precautions are recommended, including the use of personal
protective equipment handwashing before and after all patient contacts, even if gloves are worn.
In addition, the potential for transmission of these agents to the general public should be
discussed.
4.2.3.2. Health Care Worker Surveillance
The sponsor and the Occupational Health Service in each clinical center should develop
protocols for monitoring health care personnel. These protocols should describe methods for
storage and retrieval of personnel records and collection of serologic specimens from workers.
Baseline sera (i.e., prior to exposure to xenotransplantation products or recipients) should be
collected from all personnel who provide direct care to xenotransplantation product recipients,
and laboratory personnel who handle, or are likely to handle, animal cells, tissues and organs or
biologic specimens from xenotransplantation product recipients. Baseline sera can be compared
to sera collected following occupational exposures; such baseline sera should be maintained for
50 years from the time of collection. The activities of the Occupational Health Service
should be coordinated with the Infection Control Program to ensure appropriate surveillance of
infections in personnel.
4.2.3.3. Post-Exposure Evaluation and Management
Written protocols should be in place for the evaluation of health care workers who experience
an exposure where there is a risk of transmission of an infectious agent, e.g., an accidental
needle stick. Health care workers, including laboratory personnel, should be instructed to
report exposures immediately to the Occupational Health Services. The post-exposure
protocol should describe the information to be recorded including the date and nature of
exposure, the xenotransplantation procedure, recipient information, actions taken as a result of

41
such exposures (e.g., counseling, post-exposure management, and follow-up) and the outcome
of the event. This information should be archived in a health exposure log (section 4.3.) and
maintained for at least 50 years from the time of the xenotransplantation despite any change in
employment of the health care worker or discontinuation of xenotransplantation procedures at
that center. Health care and laboratory workers should be counseled to report and seek
medical evaluation for unexplained clinical illnesses occurring after the exposure.
4.3.

Health Care Records

The sponsor should maintain a cross-referenced system that links the relevant records of the
xenotransplantation product recipient, xenotransplantation product, source animal(s), animal
procurement center, and significant nosocomial exposures. These records should include: (1)
documentation of each xenotransplantation procedure, (2) documentation of significant
nosocomial health exposures, and (3) documentation of the infectious disease screening and
surveillance records on both xenotransplantation product source animals and recipients. These
records should be updated regularly and cross-referenced to allow rapid and easy linkage
between the clinical records of the source animal(s) and the xenotransplantation product
recipient.
To the extent permitted by applicable laws and/or regulations, the confidentiality of all medical
and research records pertaining to human recipients should be maintained (section 2.5.10.).
4.3.1. The documentation of each xenotransplantation procedure includes the date and type of
the procedure, the principal investigator(s) (PI), the xenotransplantation product recipient, the
xenotransplantation product(s), the individual source animal(s) and the procurement facilities for
these animals, as well as the health care workers associated with each procedure.
4.3.2. The documentation of significant nosocomial health exposures includes the persons
involved, the date and nature of each potentially significant nosocomial exposure (exposures
defined in the written Infection Control/Occupational Health Service protocol), and the actions
taken.
4.3.3. The documentation of infectious disease screening and surveillance includes: (a) a
summary of the source animal(s) health status; (b) the results of the pre-xenotransplantation
screening program for the source animal(s); (c) the results of the pre-xenotransplantation
screening program for the xenotransplantation product; (d) the post-xenotransplantation
surveillance studies on the xenotransplantation product recipient; and (e) a summary of
significant relevant post-xenotransplantation clinical events.

42

5.

Public Health Needs
5.1.

National Xenotransplantation Database

A pilot project to demonstrate the feasibility of, and identify system requirements for, a National
Xenotransplantation Database is currently underway. It is anticipated that this pilot would be
expanded into a fully operational Database to collect data from all clinical centers conducting
trials in xenotransplantation and all animal facilities providing animals or xenogeneic organs,
tissues, or cells for clinical use. Such a database would enable: (a) the recognition of rates of
occurrence and clustering of adverse health events, including events that may represent
outcomes of xenogeneic infections; (b) accurate linkage of these events to exposures on a
national level; (c) notification of individuals and clinical centers regarding epidemiologically
significant adverse events associated with xenotransplantation; and (d) biological and clinical
research assessments. When such a Database becomes functional, the sponsor should ensure
that information requested by the Database is provided in an accurate and timely manner. To
the extent allowed by law, information derived from the Database would be available to the
public with appropriate confidentiality protections for any proprietary or individually identifiable
information.
5.2.

Biologic Specimen Archives

The sponsor should ensure that the designated PHS specimens from the source animals,
xenotransplantation products, and xenotransplantation product recipients are archived (sections
3.7.1, 3.5.3, and 4.1.2.). The biologic specimens should be collected and archived under
conditions that will ensure their suitability for subsequent public health purposes, including public
health investigations (sections 4.1.2.3.). The location and nature of archived specimens should
be documented in the health care records and this information should be linked to the National
Xenotransplantation Database when the latter becomes functional.
DHHS is considering options for a central biological archive, e.g., one maintained by a private
sector organization under contract to DHHS. Designated PHS specimens would be deposited
in such a repository.
5.3.

Secretary’s Advisory Committee on Xenotransplantation (SACX)

The SACX is currently being implemented by DHHS. As currently envisioned, the SACX will
consider the full range of complex issues raised by xenotransplantation, including ongoing and
proposed protocols, and make recommendations to the Secretary on policy and procedures.
The SACX will also provide a forum for public discussion of issues when appropriate. These
activities will facilitate DHHS efforts to develop an integrated approach to addressing emerging

43
public health issues in xenotransplantation. The structure and functions of the SACX as well as
procedures for SACX review of protocols and issues will be described in subsequent
publications. Inquiries about the status and function of, and access to the SACX should be
directed to the Office of Science Policy, Office of the Secretary, DHHS, or the Office of
Biotechnology Activities (OBA), formerly known as the Office of Recombinant DNA Activities
(ORDA), Office of the Director, NIH.

44

6. BIBLIOGRAPHY
A.

B.

C.

Federal Laws
1.	

The Public Health Service Act 

(42 U.S.C. §§ 262 et seq.) 


2.	

The Federal Food, Drug, and Cosmetic Act

(21 U.S.C. §§ 321 et seq.)


3.	

The Social Security Act

(42 U.S.C. § 1320b-8)


4.	

The National Organ Transplant Act

(42 U.S.C. §§ 273 et seq.)


5.	

The Animal Welfare Act

(7 U.S.C. §§ 2131 et seq.)


Federal Regulations
1.

21 (CFR) Parts 50, 56, 312, 314, 600 - 680.

2.

45 (CFR) Part 46, 71.

3.

9 (CFR) Parts 1, 2, 3, and 122.

Guidance Documents
1.

Food and Drug Administration
a.	 Guidance for Industry. Guidance for Human Somatic Cell Therapy and Gene
Therapy (3/30/98) (see also Quarterly List of Guidance Documents at the Food
and Drug Administration, July 6, 1998;63 FR 36413).
**(http://www.fda.gov/cber/guidelines.htm)
b.	 Points to Consider in the Characterization of Cell Lines Used to Produce
Biologicals; (August 12, 1993; 58 FR 42974)*

45
c.	 Application of Current Statutory Authorities to Human Somatic Cell Therapy
Products and Gene Therapy Products; (October 14, 1993; 58 FR 53248)*
d.	 Bovine Derived Materials; Agency Letters to Manufacturers of FDA Regulated
Products; (August 29, 1994; 59 FR 44591)
e.	 Points to Consider in the Manufacture and Testing of Therapeutic Products for
Human Use Derived from Transgenic Animals; (August 24, 1995; 60 FR 44036)
**(http://www.fda.gov/cber/points.htm)
f.	 Q5D Quality of Biotechnological/Biological Products: Derivation and
Characterization of Cell Substrates Used for Production of
Biotechnological/Biological Products (September 21, 1998; 63 FR 50244).
**(http://www.ifpma.org/ich5q.html)
g.	 Q5A Viral Safety Evaluation of Biotechnology Products Derived from Cell Lines of
Human or Animal Origin; (September 24, 1998; 63 FR 51074)
**(http://www.ifpma.org/ich5q.html)
h.	 Guidance for Industry: Public Health Issues Posed by the Use of Nonhuman
Primate Xenografts in Humans; (Notice of Availability: April 6, 1999; 64 FR
16743-16744). **(http://www.fda.gov/cber/guidelines.htm)
i.	 Guidance for Industry: Precautionary Measures to Reduce the Possible Risk of
Transmission of Zoonoses by Blood and Blood Products from
Xenotransplantation Product Recipients and Their Close Contacts; (Notice
of Availability: December 30, 1999; 64 FR 73562 - 73563).
**(http://www.fda.gov/cber/guidelines.htm)
[ Please note that the documents identified with an asterisk "*" can be
obtained from FDA/CBER/Office of Communication, Training and
Manufacturers Assistance via FAX by calling 1-800-835-4709 or via
mail by calling 301-827-1800. In addition, documents marked with two asterisks
“**” can be found on the internet at the indicated websites.]
2.

National Institutes of Health/Centers for Disease Control and Prevention
a.	 Guidelines to Prevent Simian Immunodeficiency Virus Infection in Laboratory
Workers and Animal Handlers; (MMWR 1988;37:693-4, 699-700).
(http://www.cdc.gov/epo/mmwr/preview/mmwrhtml/00001303.htm)

46

b.	 Guidelines for Investigating Clusters of Health Events; (MMWR Recommendations
& Reports 1990;39; RR-11).
(http://www.cdc.gov/epo/mmwr/preview/mmwrhtml/00001797.htm &
http://www.cdc.gov/epo/mmwr/preview/mmwrhtml/00001798.htm)
c.	 CDC - NIH. Biosafety in Microbiological and Biomedical Laboratories. U.S.
Department of Health and Human Services, Public Health Service, Centers for
Disease Control and Prevention, and the National of Health; 3rd edition, March
1993. US Government Printing Office, Washington, DC. HHS Publication No.
(CDC) 93-8395. (http://www.cdc.gov/od/ohs/biosfty/bmbl/bmbl3toc.htm)
3.

National Institutes of Health
a.	 NIH. The NIH Guidelines for Research Involving Recombinant DNA Molecules,
as amended May 1999. (64 FR 25361)
(http://www4.od.nih.gov/oba/guidelines.html)
b.	 The Public Health Service Policy on Humane Care and Use of Laboratory
Animals. Revised September 1986; Reprinted March 1996. Office for the
Protection from Research Risks, 9000 Rockville Pike, Building 31, Room 4B09,
Bethesda, Maryland 20892, Telephone 301- 496-7005.
(http://www.nih.gov/grants/olaw/references/phspol.htm)

4.

Centers for Disease Control and Prevention.
a.	 CDC. Update: Universal Precautions for Prevention of Transmission of HIV,
Hepatitis B Virus, and Other Blood borne Pathogens in Health-Care Settings.
MMWR 1988;37:377-88.
(http://www.cdc.gov/epo/mmwr/preview/mmwrhtml/00000039.htm)
b.	 CDC. Guidelines for prevention of transmission of Human Immunodeficiency Virus
and Hepatitis B Virus to Health-Care Workers and Public-Safety Workers.
MMWR 1989;38:No. S-6.
(http://www.cdc.gov/epo/mmwr/preview/mmwrhtml/00001450.htm)
c.	 CDC. The Guideline for Hand washing and Hospital Environmental Control
(published in 1985; PB85-923404).*
d.	 Garner JS, CDC Hospital Infection Practices Advisory Committee. Guideline for

47
Isolation Precautions in Hospitals. Infection Control and Hospital Epidemiology
1996;17:53-80 and American Journal of Infection Control 1996; 24: 24-52.
(http://www.cdc.gov/ncidod/hip/isolat/isolat.htm)
e.	 NIOSH. Guidelines for Protecting the Safety and Health of Health-Care Workers.
Cincinnati, Ohio: US Department of Health and Human Services, Public Health
Service, CDC, 1988; DHHS publication no. (NIOSH)88-119.
(http://www.cdc.gov/niosh/hcwold0.html) (Notice of Availability: MMWR
1990;39:417.)
(http://www.cdc.gov/epo/mmwr/preview/mmwrhtml/00001649.htm)
[ Please note that the documents identified with an asterisk "*" can be purchased from:
The National Technical Information Service or NTIS. 

5285 Port Royal Road

Springfield, Virginia 22161

telephone (703) 487-4650]

5.

U.S. Department of Agriculture
a.	 Barbeito et al. Recommended biocontainment features for research and diagnostic
facilities where animal pathogens are used. Rev. sci. Tech. Off. Int. Epiz.,
1995;14:873-887.

6.

National Research Council
a.	 NRC. Guide for the Care and Use of Laboratory Animals, Institute of Laboratory
Animal Resources, Commission on Life Sciences, National Research Council,
2101 Constitution Avenue NW, Washington, DC 20418. National Academy
Press, Washington DC, 1996. (http://www.nap.edu/readingroom/books/labrats/)

7.

National and International Bodies
a.	 Advisory Group on the Ethics of Xenotransplantation. Animal tissue into humans.
United Kingdom Department of Health, London, UK: Stationery Office, 199 6.
b.	 Council of Europe. Recommendation on xenotransplantation, September 199 7.
(Internet: http://www.coe.fr/dase/en/qoflife/recomm/r%2897%2915.htm).
c.	 Health Canada. Proposed Canadian Standard for Xenotransplantation. The Expert

48
Working Group on Xenotransplantation. July 1999. (Available on the internet:
www.hc-sc.gc.ca/hpbdgps/therapeut/zfiles/english/btox/standards/xeno_std_e.html).
d.	 Health Canada. Report of the National Forum on Xenotransplantation: Clinical,
Ethical, and Regulatory Issues, November 6-8, 1997, Health Canada. (Internet:
Full report: http://www.hc-sc.gc.ca/hpb-dgps/therapeut/files/english/btox
/reports/frmrptx_e.html Summary: http://www.hc-sc.gc.ca/hpbdgps/therapeut/files/english/btox/reports/forumsummary_e.html)
e.	 Health Council of the Netherlands: Committee on Xenotransplantation.
Xenotransplantation. Rijswijk: Health Council of the Netherlands, 1998;
publication no. 1998/01E.
f.	 Institute of Medicine. Xenotransplantation: Science, Ethics, and Public Policy.
Washington, D.C.: National Academy Press, 1996.
g.	 Nuffield Council on Bioethics. Animals-to-human transplants. The ethics of
xenotransplantation. London, Nuffield Council on Bioethics, 1996.
h.	 Organization for Economic Cooperation and Development. Xenotransplantation:
International Policy Issues. OECD Proceedings prepared by Elettra Ronchi,
OECD Secretariat. OECD Publications, Paris, France, 1999. (OECD website for
xenotransplantation international policy issues: Internet:
http://www.oecd.org/dsti/sti/s_t/biotech/prod/xeno.htm).
i.	 Subcommission of Xenotransplantation of the Permanent Commission of
Transplants of the Interterritorial Council of the National Health System.
Xenotransplantation: Recommendations for the Regulation of these Activities
in Spain. Available in Spanish or English translation from:
Organizacion Nacional de Trasplantes, C/ Sinesio Delgado, 8, 28029 Madrid,
Tel: (44) 91 314 24 06; Fax: (44) 91 314 29 69; E-mail: bmiranda@msc.es
j.	 Swedish Committee on Xenotransplantation. From one species to another transplantation from animals to humans. A report by the Swedish Committee
on Xenotransplantation, Stockholm 1999. Swedish Government Official
Report No. 1999:120. Ministry of Health and Social Affairs. The complete
report in Swedish or a short version (Summary and Statutory Proposals) in
English are available upon request from: Stefan Reimer, Secretary, The 

Swedish Committee on Xenotransplantation, P.O. Box 187,S-201 21 


49
MALMO, Sweden. E-mail: stefan.reimer@hsb.dom.se
k.	 Transplantation Society of Australia and New Zealand, Inc. Xenotransplantation:
A report to the Research Committee (Public Health and Medical), the National
Health and Medical Research Council, from an Ad Hoc Working Party, August
1998. Revised December 1998. (Internet:
http://www.racp.edu.au/tsanz/xenomain.htm).
l.	 United Kingdom Department of Health. The Government Response to Animal
Tissues into Humans. The Stationary Office, London, January 1997. (Further
information is available on the United Kingdom Xenotransplantation Interim
Regulatory Authority (UKXIRA) website: http://www.doh.gov.uk/ukxira.htm)
m.	 World Health Organization. Report of WHO consultation on xenotransplantation,
Geneva, Switzerland, 28-30 October, 1997. World Health Organization, 1998
(document WHO/EMC/ZOO/98.2; available from Division of Emerging and Other
Communicable Diseases Surveillance and Control, World Health Organization,
1211 Geneva 27, Switzerland). (Internet: http://www.who.int/emcdocuments/zoonoses/whoemczoo982c.html)
n.	 World Health Organization. Xenotransplantation: Guidance on infectious disease
prevention and management. World Health Organization, Geneva, Switzerland,
November 1998 (document WHO/EMC/ZOO/98.1; available from Division of
Emerging and Other Communicable Diseases Surveillance and Control, World
Health Organization, 1211 Geneva 27, Switzerland) (Internet:
http://www.who.int/emc-documents/zoonoses /whoemczoo981c.html).
o.	 Xenotransplantation: Scientific Frontiers and Public Policy. Proceedings of an
OECD/NY Academy of Sciences Workshop on Xenotransplantation. Edited by J
Fishman, D Sachs, and R Shaikh. Annals of the New York Academy of Science
1998; volume 862.
D.

Scientific Articles and Other Reports
1.

Background.
a.	 Allan JS. Xenotransplantation at a crossroads: prevention versus progress.
[Review] Nature Medicine 1996;2:18-21.
b.	 Bach FH, Fishman JA, Daniels N, Proimos J, Anderson B, Carpenter CB, Forrow

50
L, Robson SC, Fineberg HV. Uncertainty in xenotransplantation: individual benefit
versus collective risk. Nature Medicine 1998;4:141-4.
c.	 Bloom ET, Moulton AD, McCoy J, Chapman LE, Patterson AP.
Xenotransplantation: The Potential and the Challenges. Critical Care Nurse
1999;19:76-83.
d.	 Brown J, Matthews AL, Sandstrom PA, Chapman LE. Xenotransplantation and
the Risk of Retroviral Zoonosis. Trends in Microbiology 1998;6:411-5.
e.	 Chapman LE, Fishman JA. Xenotransplantation and Infectious Diseases. In
Xenotransplantation 2nd edition, Cooper DKC, Kemp E, Platt JL, White DJ
(eds.), Springer-Verlag Berlin Heidelberg New York, 1997.
f.	 Chapman LE, Folks TM, Salomon DR, Patterson AP, Eggerman TE, Noguchi PD.
Xenotransplantation and Xenogeneic Infections. New Engl J Med 1995;333:14981501.
g.	 Chapman LE, Switzer WM, Sandstrom PA, Butera ST, Heneine W, Folks TM.
Infectious Disease Issues in Xenotransplantation. Chapter: Emerging Infections 3,
Editors: W Michael Scheld, William A Craig, James M Hughes, ASM Press,
Washington, D.C. 1999.
h.	 Eastlund T. Infectious disease transmission through cell, tissue and organ
transplantation. Reducing the risk through donor selection. Cell Transplantation
1995;4:455-77.
i.	 Daar A.S. Round Table: Animal-to-human organ transplants. Discussion: Allan JS,
Aluwihare APR, Bach FH, Caplan A, Chapman L, Dickens BM, Fishman JA,
Groth CG, Breimer ME, Menache A, Morris PJ, Van Rongen E. Bulletin of the
World Health Organization 1999;77:54-81.
j.	 Hahn BH, Shaw GM, De Cock KM, Sharp PM. AIDS as a zoonosis: Scientific
and public health implications. [Review]. Science 2000; 287: 607-14.
k.	 Ho M. Virus infections after transplantation in man. Arch Virol 1977;55:1-24.
l.	 Kalter SS, Heberling RL. Xenotransplantation and infectious diseases. ILAR
Journal 1995;37:31-7.

51
m.	 Michaels MG. Infectious concerns of cross-species transplantation: xenozoonoses.
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n.	 Murphy FA. The public health risk of animal organ and tissue transplantation into
humans. Science 1996;273:746-7.
o.	 Patience C, Takeuchi Y, Weiss RA. Zoonosis in xenotransplantation. Current
Opinion in Immunology 1998;10:539-42.
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endogenous retrovirus after islet xenotransplantation. Nature 2000; 407:90-94.
s.	 Weiss RA. Xenografts and retroviruses. Science 1999;285:1221-2.
2.

Animal Sources for Xenotransplants
a.	 Allan GM, McNeilly F, Kennedy S, Daft B, Clarke EG, Ellis JA, Haines DM,
Meehan BM, Adair BM. Isolation of porcine circovirus-like viruses from pigs with
a wasting disease in the USA and Europe. Journal of Veterinary Diagnostic
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b.	 Allan GM, McNeilly F, Meehan BM, Kennedy S, Mackie DP, Ellis JA, Clark EG,
Espuna E, Saubi N, Riera P, Botner A, Charreyre CE. Isolation and
characterization of circoviruses from pigs with wasting syndromes in Spain,
Denmark and Northern Ireland. Veterinary Microbiology 1999;66:115-23.
c.	 Bjoersdorff A, Korsgren O, Andersson A, Tollemar J, Maimborg A-S, Ehrnst A,
Groth CG. Microbiologic screening as a preparatory step for clinical xenografting
of porcine fetal islet-like cell clusters. Transplantation Proceedings 1992;24:674-6.
d.	 Borie DC, Cramer DV, Phan-Thanh L, Vaillant JC, Bequet JL, Makowka L,
Hannoun L. Microbiological hazards related to xenotransplantation of porcine
organs into man. [Review] Infection Control & Hospital Epidemiology

52
1998;19:355-65.
e.	 Brown P, Preece MA, Will RG. Friendly Fire in Medicine: hormones, homografts,
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j.	 Fishman JA. Miniature swine as organ donors for man: strategies for prevention of
xenotransplant-associated infections. Xenotransplantation 1994;1:47-57.
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53
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54
cytomegalovirus: importance for xenotransplantation. Journal of Infectious Diseases
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aa. Michaels MG, Simmons RL. Xenotransplant associated zoonoses: strategies for
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PHS Guideline on Infectious Disease Issues in Xenotransplantation

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