Use my Search Websuite to scan PubMed, PMCentral, Journal Hosts and Journal Archives, FullText.
Kick-your-searchterm to multiple Engines kick-your-query now !>
A dictionary by aggregated review articles of nephrology, medicine and the life sciences
Your one-stop-run pathway from word to the immediate pdf of peer-reviewed on-topic knowledge.

suck abstract from ncbi


10.1016/j.contraception.2021.03.031

http://scihub22266oqcxt.onion/10.1016/j.contraception.2021.03.031
suck pdf from google scholar
33831445!ä!33831445

suck abstract from ncbi

pmid33831445      Contraception 2021 ; 104 (1): 8-11
Nephropedia Template TP

gab.com Text

Twit Text FOAVip

Twit Text #

English Wikipedia


  • Abortion exceptionalism and the mifepristone REMS #MMPMID33831445
  • Serpico JJ
  • Contraception 2021[Jul]; 104 (1): 8-11 PMID33831445show ga
  • Since its initial approval, mifepristone has been regulated with a strictness out of proportion to its risks. This paper explores how the regulation of mifepristone, specifically the Risk Evaluation and Mitigation Strategies (REMS) requirements, are a manifestation of abortion exceptionalism-the phenomenon of abortion being treated differently under the law than other comparable health care. The weight of medical and public health evidence demonstrates that mifepristone is extremely safe and the REMS are unnecessary. In fact, the mifepristone REMS is neither justified by the absolute risk of the medication itself, nor comprehensible as a logical response to the risks actually posed by mifepristone. Nevertheless, the REMS remain in place. From July 2020 through January 2021, enforcement of the REMS elements requiring in-person distribution of mifepristone were enjoined by court order due the COVID-19 pandemic. In other words, COVID-19 created a context so exceptional as to temporarily outweigh abortion exceptionalism. However, the reprieve did not last-in January 2021, the Supreme Court ruled to dissolve the injunction, allowing FDA to resume enforcement of the in-person requirements. In response, advocates called on the incoming Biden administration to direct FDA to suspend enforcement once more. This regulatory whiplash is itself further evidence that the REMS flow from political, rather than scientific, concerns. Abortion exceptionalism is apparent in the specific requirements of the REMS, and it is also apparent in the precarity of the regulatory scheme itself.
  • |*COVID-19[MESH]
  • |*Risk Evaluation and Mitigation[MESH]
  • |Abortifacient Agents, Steroidal/*administration & dosage[MESH]
  • |Abortion, Induced[MESH]
  • |Drug and Narcotic Control/legislation & jurisprudence[MESH]
  • |Humans[MESH]
  • |Mifepristone/*administration & dosage[MESH]
  • |Politics[MESH]
  • |SARS-CoV-2[MESH]
  • |Telemedicine/legislation & jurisprudence[MESH]
  • |United States[MESH]


  • DeepDyve
  • Pubget Overpricing
  • suck abstract from ncbi

    Linkout box