Research and analysis
Consumer cannabidiol (CBD) products report (accessible version)
Updated 20 December 2021
Contents
1.Introduction
2.Background
3.Controlled Phytocannabinoids
4.Analytical Techniques
5.Interpretation of findings
6.Conclusions
7.Recommendations
Annex A: list of abbreviations used in this report
Annex B: quality of evidence
Annex C: analytical methods
Annex D: controlled phytocannabinoids information
Annex E: ACMD membership, at time of publication
Annex F: membership of the ACMD’s consumer CBD products working group
References
1. Introduction
1.1. Consumer Cannabidiol (CBD) products (i.e. CBD products which are not licensed medicines and which are available to purchase online or on the high street) are sold for their potential to produce ‘wellbeing’ benefits (Chesney, McGuire, Freeman, Strang, & Englund, 2020).
소비자 칸나비디올(CBD) 제품(즉, 허가 의약품이 아니며 온라인 또는 상점에서 구입할 수 있는 CBD 제품)은 '웰빙' 효능을 생성하는 잠재력 때문에 판매됩니다(Chesney, McGuire, Freeman, Strang, & Englund , 2020).
CBD는 대마초 식물 추출물에 포함된 정부규제가 없는 칸나비노이드입니다.
CBD is a non-controlled cannabinoid present in Cannabis plant extracts.
Currently the most commonly sold CBD product is CBD oil, however, the range of products containing CBD is expanding and includes food supplements, drinks, cosmetics and liquids for vaping.
현재 가장 많이 판매되는 CBD제품은 CBD 오일이지만 CBD를 함유한 제품은 식품 보조제, 음료, 화장품, 전자담배용 액체로 확대되고 있습니다.
CBD에 대한 소비자 관심이 증가하고 있습니다.
Consumer interest in CBD is growing (European Monitoring Centre for Drugs and Drug Addiction, 2019).
1.2. 현재 이러한 제품의 CBD는 주로 대마초(Cannabis) 식물에서 추출됩니다.
At present the CBD within these products is derived primarily from the plant Cannabis.
다른 칸나비노이드에서 CBD를 분리하는 것이 어렵기 때문에, 소비자 CBD 제품에는 1971년 약물남용법(MDA)에 따라 규제되는 대마초에 존재하는 다양한 양의 트랜스-델타-9-테트라히드로칸나비놀-C5(∆9-THC) 및 기타 칸나비노이드가 포함되어 있습니다.
Due to difficulties in isolating CBD from other cannabinoids, consumer CBD products also contain varying amounts of trans-delta-9-tetrahydrocannabinol-C5 (∆9-THC) and other cannabinoids present in Cannabis that are controlled under the Misuse of Drugs Act 1971 (MDA).
1.3. In January 2021, the Home Office stated its intention to establish a legal framework for consumer CBD products in a commissioning letter to the ACMD.
2021.1월, 영국 내무부는 ACMD에 보내는 커미셔닝 서한에서 소비자 CBD 제품에 대한 법적 프레임워크를 수립할 의도를 밝혔습니다.
1.4. 장관위원회는 특히 다음과 같은 사항에 대해 ACMD의 조언을 구했습니다:
The ministerial commission has sought advice from the ACMD, specifically on:
1.4.1. The maximum dose for any non-negligible effect for ∆9-THC, THCV and CBN and the cannabinoid ∆9-THCA-A;
∆9-THC, THCV 및 CBN 및 칸나비노이드 ∆9-THCA-A에 대한 무시할 수 없는 효과에 대한 최대 용량;
1.4.2. 남용 우려가 있거나 악영향을 미칠 우려가 있는지 여부
Whether such products would be liable to be abused or have ill-effects;
1.4.3. Whether the controlled substances, in practice, can be recovered from such products;
규제물질이 실제로 그러한 제품에서 회수될 수 있는지 여부
1.4.4. 칸나비노이드 함량을 테스트하기 위한 현재 분석 능력;
The current analytical capability to test for cannabinoid content;
1.4.5. How the exempt product definition in the MDR may be amended to apply only to diagnostic equipment, or for scientific research, as originally intended. (Note: this part of the commission will be considered in a separate piece of advice).
MDR의 면제 제품 정의가 원래 의도된 대로 진단장비 또는 과학연구에만 적용되도록 수정될 수 있는 방법. (참고: 커미션의 이 부분은 별도의 조언에서 고려).
1.5. 이 위원회에 응답하기 위해, ACMD는 문헌을 검토하고, 산업 및 분석 실험실과 협의하고, 증거를 공개적으로 요청하는 작업 그룹을 구성했습니다.
To respond to this commission, the ACMD formed a Working Group who have reviewed the literature, consulted with industry and analytical laboratories, and issued a public call for evidence.
1.6. This report will not evaluate the effectiveness of CBD products.
이 보고서는 CBD 제품의 효과를 평가하지 않습니다.
Nor will it re-evaluate the potential harms of any of the controlled cannabinoids, nor make comment about their classification or schedule.
또한 규제된 칸나비노이드의 잠재적 위해를 재평가하지 않으며 분류 또는 규제등급에 대해 언급하지도 않습니다.
이 보고서는 칸나비노이드가 인간에게 감지할 수 있는 향정신성 효과가 없는 용량(즉, 이 보고서의 목적을 위해 용량은 g 단위의 양을 의미함), 이러한 칸나비노이드를 테스트할 수 있는 분석능력 및 저 수준의 통제된 칸나비노이드를 함유한 소비자 CBD 제품의 생산 가능성을 고려할 것입니다.
This report will consider the dose at which cannabinoids have no detectable psychoactive effect on humans (i.e. for the purposes of this report, dose means amount in grams), the analytical capabilities to test for these cannabinoids, and the feasibility of production of consumer CBD products with low levels of controlled cannabinoids.
The intention being to give consideration to consumer CBD products derived from extracts of Cannabis rather than to plant products.
식물 제품들보다는 대마초 추출물에서 추출한 소비자 CBD 제품을 고려하려는 의도입니다.
2. Background
2.1. Plants of the genus Cannabis contain multiple naturally occurring cannabinoids that are referred to as ‘phytocannabinoids’.
대마초 속 식물에는 '식물성 칸나비노이드'라고 하는 여러 자연 발생 칸나비노이드가 포함되어 있습니다.
12개의 phytocannabinoids는 MDA에 따라 통제됩니다.
Twelve phytocannabinoids are controlled under the MDA.
The main psychoactive phytocannabinoid is ∆9-THC, commonly known as THC, which acts as a partial agonist at the cannabinoid type-1 receptor (CB1 receptor) in the brain.
주요 향정신성 식물칸나비노이드는 일반적으로 THC로 알려진 ∆9-THC이며, 이는 뇌의 칸나비노이드 1형 수용체(CB1 수용체)에서 부분 작용제로 작용합니다.
phytocannabinoids 규제 상태에 대한 검토는 ACMD의 2016 Phytocannabinoids 보고서(ACMD, 2016) 표1을 참조하십시오.
For a review of the control status of phytocannabinoids, please refer to Table 1 from ACMD’s 2016 report on Phytocannabinoids (ACMD, 2016).
2.2. Phytocannabinoids such as cannabidiol (CBD), that have low affinity for the orthosteric (agonist) binding site on the CB1 receptor, are not controlled.
CB1 수용체의 오르토스테릭(작용제) 결합 부위에 대한 친화도가 낮은 칸나비디올(CBD)과 같은 식물칸나비노이드는 규제되지 않습니다.
CBD has been reported to act as a negative allosteric modulator at CB1 and CB2 receptors, reducing the response to agonists such as ∆9-THC
CBD는 CB1 및 CB2 수용체에서 음성 알로스테릭 조절제로 작용하여 ∆9-THC와 같은 작용제에 대한 반응을 감소시키는 것으로 보고되었습니다(Laprairie, Bagher, Kelly, & Denovan-Wright, 2015)(Tham, et al., 2019).
2.3. 소비자 제품에 사용되는 CBD는 주로 대마초 꽃과 잎에서 추출되며 그 결과물을 'CBD 분리물'이라고 합니다.
The CBD that is used in consumer products is mainly extracted from Cannabis flower and leaves and the resulting product referred to as ‘CBD isolate’.
Whilst trying to maximise the CBD content of the isolate it still contains other phytocannabinoids including those that are controlled.
분리물의 CBD 함량을 최대화하려고 노력하는 동안 여전히 통제되는 것을 포함하여 다른 식물성 칸나비노이드를 포함하고 있습니다.
이 보고서 전체에서 'CBD 분리물'은 이 추출된 제품을 나타냅니다.
Throughout this report ‘CBD isolate’ will refer to this extracted product.
In the UK, a Schedule 1 controlled drugs licence is required to grow Cannabis, irrespective of the THC content of the plant.
영국에서는 이 식물의 THC 함량에 관계없이 대마초를 재배하려면 1 등급규제 약물 라이선스가 필요합니다.
이 식물의 규제되는 부위(꽃과 잎)을 합법적으로 사용하려면, 식물의 규제된 부분에서 수확한 물질을 소유하는 것이 불법이므로 소유, 생산 및 잠재적으로 '1등급' 물질의 공급을 가능하게 하는 라이센스 허가가 필요합니다.
To lawfully use the controlled parts of the plant (the flower and leaves) licensing permissions to enable possession, production and potentially supply of ‘Schedule 1’ material would be required as the possession of harvested material from controlled parts of the plant would be unlawful without a licence.
2.4. CBD는 화학적 합성으로도 생산할 수 있습니다.
CBD can also be produced by chemical synthesis (Jung et al., 2019).
As the popularity of consumer CBD products increases, the demand for synthetic CBD is likely to increase and improved methods developed.
소비자 CBD 제품 인기가 높아짐에 따라 합성 CBD에 대한 수요가 증가하고 개선된 방법이 개발될 가능성이 있습니다(Bloemendal et al., 2021).
그러나 상업적으로 생산된 합성 CBD는 여전히 9-THC로 오염될 수 있습니다.
Commercially produced synthetic CBD may however still be contaminated with 9-THC (Grubb, 2020).
따라서 실무그룹은 CBD의 기원이 대마초 식물에서 추출되었는지 또는 화학합성에 의한 것인지 여부에 관계없이 CBD 소비자 제품의 규제된 식물성 칸나비노이드 수준과 관련된 규정을 당분간 적용해야 한다고 결정했습니다.
The Working Group therefore decided that for the time being the regulations relating to the levels of controlled phytocannabinoids in CBD consumer products should apply whether the origin of the CBD is by extraction from the Cannabis plant or by chemical synthesis.
2.5. To obtain a controlled drug from another country an import licence must be obtained from the Home Office.
외국에서 규제 약물을 얻으려면 내무부에서 수입허가를 받아야 합니다.
This is to enable the UK government to keep records of such transactions for reporting purposes and remain compliant with their international obligations to the International Narcotics Control Board (INCB).
이는 영국정부가 보고목적으로 그들 거래를 기록하고 국제마약통제위원회(International Narcotics Control Board, INCB)에 대한 국제 의무를 준수할 수 있도록 하기 위한 것입니다.
2.6. MDR 내에는 면제에 필요한 3가지 기준을 모두 충족하는 경우 제품을 규제에서 제외하는 면제 제품 정의가 있습니다.
Within the MDR there is an exempt product definition that excludes products from control if they meet all of the 3 criteria required for exemption (UK Legislation, 2001).
Companies which market consumer CBD products often claim their products meet all of the 3 criteria and are therefore exempted from control under the MDA.
소비자 CBD 제품을 판매하는 회사는 종종 자사 제품이 3가지 기준을 모두 충족한다고 주장하므로 MDA에 따른 규제가 면제됩니다.
이 위원회는 또한 ACMD가 진단 장비 또는 과학연구에만 적용되는 면제 제품 정의를 수정하여 소비자 제품 및 과학 연구 이외의 인간 소비자를 대상으로 하는 모든 제품을 명확하게 배제할 것을 요청했습니다. 이는 별도의 조언에서 다룰 것입니다.
This commission also asked for the ACMD to reword the exempt product definition to apply only to diagnostic equipment or for scientific research, thereby unambiguously excluding consumer products and any products intended for human consumer other than in scientific research – this will be covered by a separate piece of advice.
2.7. The industrial hemp industry in the UK, under the requisite licence, grows low-∆9-THC content Cannabis or ‘hemp’ for fibre and seed (under the stipulations of the Industrial Hemp Licence all controlled parts of the plant must be destroyed).
영국의 산업용 햄프산업은 필수 라이센스 하에 ∆9-THC 함량이 낮은 대마초 또는 섬유 및 종자용 '햄프'를 재배합니다(산업용 햄프 라이센스 규정에 따라 이 식물의 모든 규제되는 부위는 파괴되어야 함).
The farmed components have various industrial uses, such as the processing of the seeds to make cold pressed hemp seed oils (as distinct from CBD oil) and using the fibre to produce clothing or rope.
작농된 구성요소는, 종자를 가공하여 냉압착 대마씨 오일(CBD 오일과 구별)을 만들고 섬유를 사용하여 의복이나 로프를 생산하는 등 다양한 산업 용도로 사용됩니다.
2.8. 규제되지 않은 섬유 및 종자를 사용하기 위한 햄프 생산은 CBD 생산에 필요한 식물의 규제된 부분을 사용하기 위한 대마초 재배 라이선스와 다른 정책 및 라이선스 제도에 따라 고려됩니다.
Hemp production for use of the uncontrolled fibre and seed is considered under a different policy and licensing regime to a Cannabis Cultivation licence for use of the controlled parts of the plant which are required for CBD production.
There is a misconception amongst some members of the consumer CBD product industry that consumer CBD products are legal if they contain less than 0.2% ∆9-THC.
소비자 CBD 제품 업계의 일부 구성원 사이에는 소비자 CBD 제품에 ∆9-THC가 0.2% 미만이면 합법이라는 오해가 있습니다.
This misunderstanding may arise from an incorrect interpretation of the wording within the Misuse of Drugs (Licence Fees) Regulations 2010.
이러한 오해는 2010년 약물 남용(면허 수수료) 규정의 잘못된 해석으로 인해 발생할 수 있습니다.
허가된 햄프 재배자는 승인된 종자 유형 목록에 있는 품종만을 재배해야 하는데, 이들 품종은 라이센스 요구상을 충종하는 0.2% 미만 ∆9 - THC를 함유해야 합니다.
A licenced grower of hemp must only cultivate a Cannabis strain that is on the approved seed type list and contains less than 0.2% ∆9-THC to meet the requirements of that licence.
This licence only allows for the use of uncontrolled parts of the Cannabis plant and therefore should not be used to cultivate material for any other purpose including creating CBD isolate.
이 라이센스는 대마초 식물의 규제되지 않은 부분만 사용할 수 있도록 허용하므로 CBD 분리물 생성 등 다른 목적으로 재료를 재배하는 데 사용해서는 안 됩니다.
2.9. The relatively unregulated nature of the consumer CBD product market has meant that the actual levels of ∆9-THC in different products from different suppliers vary dramatically.
소비자 CBD 제품시장의 상대적으로 규제되지 않은 특성으로 인해 다양한 공급업체의 다양한 제품에서 ∆9-THC의 실제 수준이 크게 다릅니다.
A Defence Science and Technology Laboratory (Dstl) investigation into forty-three commercial CBD products available in the UK found sixteen (37%) contained more than 5 mg of ∆9-THC (Defence Science and Technology Laboratory report, 2020a).
영국에서 사용가능한 43개 상업용 CBD 제품에 대한 Dstl(국방과학기술연구소) 조사에서 16개(37%)에 5mg 이상의 ∆9-THC가 포함되어 있음을 발견했습니다(Defence Science and Technology Laboratory report, 2020a).
For context 5 mg ∆9-THC is one standard THC unit – a low dose that can produce mild psychoactive effects similar to a standard alcohol unit (Freeman & Lorenzetti, 2020).
맥락상, 5 mg ∆9-THC는 표준 THC 단위 중 하나이며, 이는 표준 알코올 단위와 유사한 가벼운 정신자극 효과를 생성할 수 있는 저용량입니다.
Similar variability in the CBD and ∆9-THC content of consumer CBD products available in the UK, Europe and the USA have been reported in the scientific literature (Pavlovic, et al., 2018), (Lachenmeier, et al., 2019), (Dubrow, et al., 2021), (Liebling et al., 2020).
영국, 유럽, 미국에서 사용 가능한 소비자 CBD 제품의 CBD 및 ∆9-THC 함량의 유사한 변동성이 과학문헌에 보고되었습니다 (Pavlovic, et al., 2018), (Lachenmeier, et al., 2019), (Dubrow, et al., 2021), (Liebling et al., 2020).
2.10. 영국의 건강식품상점은 현재 CBD 캡슐과 5~20mg 범위 식용제품과 2~8mg의 오일과 스프레이를 판매합니다.
Health food shops in the UK currently sell CBD capsules and edible products ranging from 5 to 20 mg per dose, and oils and sprays from 2 to 8 mg per dose (Chesney, McGuire, Freeman, Strang, & Englund, 2020).
영국식품표준원은 안전한 섭취량을 70mg/day로 권고했습니다(Food Standards Agency, 2020).
The Food Standards Agency recommended the level of safe consumption to be 70 mg/day (Food Standards Agency, 2020).
2.11. ACMD는 NPCC(National Police Chiefs' Council)와 협의했으며, 이 위원회는 소비자 CBD 제품을 전용하거나 ∆9-THC 또는 기타 규제된 식물성 칸나비노이드 제품에서 추출한 증거가 없다고 보고했습니다.
The ACMD has consulted with the National Police Chiefs’ Council (NPCC), who reported that there has been no evidence to date of diversion of consumer CBD products or extraction from such products of ∆9-THC or other controlled phytocannabinoids.
The Working Group highlights that in addition to the lack of evidence, it would be highly unlikely that consumers would seek to use CBD products for the psychoactive effects of ∆9-THC, due to the very low levels of ∆9-THC present in such products.
워킹 그룹은 증거 부족 외에도 ∆9-THC의 매우 낮은 수준으로 인해 소비자가 ∆9-THC의 정신자극 효과에 대해 CBD 제품을 사용하려고 할 가능성은 매우 낮다고 강조합니다.
2.12. 이 보고서에서는 사용자가 눈에 띄는 정신자극 효과를 경험할 수 있는 식물성 칸나비노이드 수준에 대해 논의합니다.
In this report, levels of phytocannabinoids at which a user may experience noticeable psychoactive effects will be discussed.
Within the scientific literature the term ‘intoxication’ would typically be used, with the term ‘psychoactive’ having multiple different uses and the term ‘psychotropic’ having medicinal connotations.
과학 문헌 내에서 '중독'이라는 용어가 일반적으로 사용되며, '정신자극'이라는 용어는 여러 가지 다른 용도로 사용되며 '향정신성'이라는 용어는 의학적 의미를 내포합니다.
법률 내에서 UN은 1971년 향정신성 물질 협약에서 '향정신성'이라는 용어를 사용하는 반면, 영국은 2016년 향정신성 물질법(PSA)에서 '향정신성 물질'을 사용했습니다.
Within legislation the UN use the term ‘psychotropic’ in their Convention on Psychotropic Substances 1971, whereas the UK have used ‘psychoactive’ in the Psychoactive Substances Act 2016 (PSA).
'중독'은 과학적으로 정확할 수 있지만 공공 영역에서 부정적 의미를 내포하므로 보고서 전체에서 '정신자극'이라는 용어를 사용하여 다른 영국 법률과 가장 밀접하게 일치하는 이러한 약물의 효과를 언급할 것입니다.
Whilst ‘intoxication’ might be scientifically correct, it has negative connotations in the public sphere and so the report throughout will use the term ‘psychoactive’ to refer to the effects of these drugs as it most closely aligns with other UK legislation.
2.13. When defining the levels of substances within products there are different measures that can be used.
제품 내 물질 수준을 정의할 때 사용할 수 있는 다양한 측정이 있습니다.
이 보고서에서 제품 내 식물성칸나비노이드 수준(제품에 관계 없이)은 g 단위의 중량 또는 총 제품 중량의 백분율로 나타낸 물질 중량의 형태로 제공됩니다(즉, % w/w).
In this report the levels of phytocannabinoids within a product (no matter what product) are given in the form of the weight in grams or the weight of the substance as a percentage of the weight of the total product (i.e. % w/w).
일관성을 위해 액체인 제품을 언급할 때 이 보고서는 여전히 부피당 중량(예: % w/v)이 아닌 % w/w를 사용합니다.
For consistency, when referring to products that are liquids this report will still use % w/w, not weight by volume (i.e. % w/v).
Amongst consumer CBD product producers it is common practice when giving the levels of controlled phytocannabinoids such as ∆9-THC in CBD products to indicate the amount of ∆9-THC as a percentage of the weight of CBD in the product (i.e. the ratio of % weight ∆9-THC to weight of CBD).
소비자 CBD 제품 생산자 사이에서 CBD 제품에서 ∆9-THC와 같은 통제된 식물성 칸나비노이드 수준을 제품 내 CBD 중량의 백분율로 나타내기 위해 ∆9-THC의 양을 표시하는 것이 일반 관행입니다(즉, % 중량 ∆9-THC 대 CBD 중량).
그러나 혼동을 피하기 위해 이 보고서는 특별히 달리 명시되지 않는 한 물질이 포함된 제품 중량의 백분율로만 물질의 중량을 사용합니다.
However, to avoid any confusion, this report will only use weight of the substance as a percentage of the weight of the product in which it is contained unless specifically stated otherwise.
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3. 규제되는 식물칸나비노이드 Controlled Phytocannabinoids
3.1. Phytocannabinoids are controlled using generic definitions within the MDA.
Phytocannabinoids는 MDA 내의 일반적 정의를 사용하여 제어됩니다.
The ACMD’s Phytocannabinoids report (ACMD, 2016) identified 12 phytocannabinoids that would be considered controlled under the MDA.
These are detailed in Annex D.
ACMD의 식물칸나비노이드 보고서(ACMD, 2016)는 MDA에 따라 규제되는 것으로 간주되는 12개의 식물칸나비노이드를 확인했습니다.
이는 부록 D에 자세히 설명되어 있습니다.
3.2. Since the last review of phytocannabinoids (ACMD, 2016) two further analogues substituted at the 3-position of trans-(-)-∆9-THC with slightly more extended alkyl chains have been described (tetrahydrocannabiphorol [THCP, 3-heptyl] (Citti, et al., 2019) and tetrahydrocannabihexol [THCH, 3-hexyl] (Linciano, et al., 2019).
phytocannabinoids(ACMD, 2016)의 마지막 검토 이후로 트랜스-(-)-∆9-THC의 3-위치에서 약간 더 확장된 알킬 사슬로 치환된 2개의 추가 유사체가 설명되었습니다(테트라하이드로칸나비포롤[THCP, 3-헵틸]( Citti, et al., 2019) 및 tetrahydrocannabihexol [THCH, 3-hexyl] (Linciano, et al., 2019)
구조-자극 고려사항에 따르면 다음과 같은 CB1 작용제로서의 자극 가능성이 있지만, 인간에서의 정신자극은 보고되지 않았습니다.
Their psychoactivity in humans has not been reported, although structure-activity considerations suggest that they are likely to have activity as CB1 agonists.
The fact that they have only recently been identified may be taken as an indication of their low abundance.
그들이 최근에야 확인되었다는 사실은 그들의 존재비가 낮다는 표시로 간주될 수 있습니다.
3.3. CBD가 ∆9-THC의 행동 및 인지 효과를 약화시키거나 악화시킬 수 있다는 인간 및 동물 연구의 일부 증거가 있지만 이러한 관찰은 일관되게 보고되지 않았으며 소비자 CBD 제품에서 사용할 수 있는 것보다 높은 CBD 용량에서만 발생할 수 있습니다.
While there is some evidence from human and animal studies that CBD can attenuate or exacerbate the behavioural and cognitive effects of ∆9-THC, these observations have not been consistently reported and may only occur at doses of CBD higher than those available from consumer CBD products (Englund, et al., 2013).
또한, 현재로서는 대마초 제제에 존재하는 소량의 식물성 칸나비노이드 또는 테르페노이드가 ∆9-THC의 효과를 향상시키기 위해 상승작용을 하거나 CBD와 상호작용하여 급성 정신자극 효과를 이끌어낸다는 확고한 증거가 없습니다.
Furthermore, there is at present no firm evidence for minor phytocannabinoids or terpenoids present in preparations of Cannabis acting synergistically to enhance the effects of ∆9-THC nor interacting with CBD to elicit an acute psychoactive effect (Chesney, McGuire, Freeman, Strang, & Englund, 2020), (Finlay, Sircombe, Nimick, Jones, & Glass, 2020), (Santiago, Sachdev, Arnold, McGregor & Connor, 2019), (Cogan, 2020).
Precursors
3.4. 이 보고서에서 '전구체'라는 용어는 자연적으로 식물성 칸나비노이드로 전환되는 대마초 식물의 화합물을 설명하는 데 간단히 사용됩니다. 이것은 통제 약물의 불법 합성에 대한 전구체 화학 허가 통제에 해당하지 않습니다.
3.4. In this report the term ‘precursor’ is used simply to describe chemical compounds in the Cannabis plant that are converted naturally into phytocannabinoids. This does not come under precursor chemical licencing controls of illicit synthesis of controlled drugs.
3.5. 대마초 식물은 여러 산성 식물칸나비노이드 전구체를 생성합니다(Wang, et al., 2016). 신선한 대마초 ∆9-THC에서 CBD 및 CBC는 산성(카르복실화) 전구체로 존재합니다(Wang, et al., 2016),(Tahir, Shahbazi, Rondeau-Gagné, & Trant, 2021). 2개의 ∆9-THC 전구체가 식물에서 확인되었습니다(2-카르복실 ∆9-THC, ∆9-THCA-A, 4-카르복실 ∆9-THC, ∆9-THCA-B) . 더 풍부한 형태는 ∆9-THCA-A로 CB1 및 CB2 수용체에서 약한 작용제 활성만 있습니다(McPartland, et al., 2017). 이하, 특별히 특정하지 않는 한 이 두 전구체를 합하여 ∆9-THCA라 한다. 섭취 후 체내에서 ∆9-THCA가 ∆9-THC로 전환된다는 징후는 없습니다.
3.5. The Cannabis plant generates several acidic phytocannabinoid precursors (Wang, et al., 2016). In fresh Cannabis ∆9-THC, CBD, and CBC exist as their acidic (carboxylated) precursors (Wang, et al., 2016), (Tahir, Shahbazi, Rondeau-Gagné, & Trant, 2021). Two ∆9- THC precursors have been identified in the plant (2-carboxyl ∆9-THC, referred to as ∆9-THCA-A, and 4-carboxyl ∆9-THC, referred to as ∆9-THCA-B). The more abundant form being ∆9-THCA-A which has only weak agonist activity at CB1 and CB2 receptors (McPartland, et al., 2017). Hereinafter, unless specifically identified, these two precursors are combined and referred to as ∆9-THCA. There is no indication of ∆9-THCA being converted to ∆9-THC to any significant degree within the body after ingestion.
3.6. 상응하는 THC 유사체로의 산 전구체의 전환은 가열에 의해 달성된다. 전구체 산은 100oC 미만의 온도에서 식물칸나비노이드로 전환될 수 있지만 가열 없이 이러한 전환이 일어나려면 훨씬 더 긴 시간이 필요합니다(Wang, et al., 2016). 변환은 고온에서 더 빠릅니다. 실온에서 THCA의 THC 유사체로의 전환은 무시할 수 있을 것으로 예상됩니다.
3.6. Conversion of acid precursors to corresponding THC analogues is achieved by heating. Whilst precursor acids can be converted to phytocannabinoids at temperatures of less than 100 oC, a much longer duration is needed for this conversion to occur without heating (Wang, et al., 2016). Conversion is more rapid at elevated temperatures. It is anticipated that at room temperature, conversion of THCA to THC analogues is negligible.
3.7. 대마초 유래 물질의 향정신성 효능을 나타내기 위한 측정에는 일반적으로 9-THC의 양과 9-THCA의 양이 모두 포함되어 저장 및 난방. 총 9-THC 함량(9-THC + 9-THCA)은 미국 법률 내에서 0.877의 변환 계수를 적용하여 탈카르복실화에서 손실되는 9-THCA의 중량 백분율을 고려하여 계산됩니다. 두 물질의 분자량을 기반으로 한 공정(미국 법규, 2018).
3.7. Measurements intended to indicate the psychoactive potency of Cannabis-derived materials usually include both the amount of 9-THC and the amount of 9-THCA to address the potential for conversion of 9-THCA to 9-THC in storage and by heating. The total 9-THC content (9-THC plus 9-THCA) is calculated within US legislation by applying a conversion factor of 0.877 to allow for the percentage of the weight of 9-THCA, which is lost in the decarboxylation process based on the molecular weights of the two materials (US legislation, 2018).
3.8. 법적으로 전구체는 MDA 또는 MDR 내에서 통제되지 않지만, 이 보고서에서는 CBD 제품에 적용되는 제한을 제안합니다.
3.8. Legally precursors are not controlled within the MDA or MDR, however, in this report we will suggest limits apply to them when in CBD products.
Interconversion
3.9. Phytocannabinoids are structurally related compounds with the potential in some cases for chemical conversion from one to another. With the exception of precursor acids (discussed above) it is very unlikely that most non-psychoactive phytocannabinoids are converted into psychoactive ones except under laboratory conditions.
3.10. CBD can be converted to ∆9-THC under acid and heat conditions or utilising more specialised laboratory reagents to achieve the cyclisation. Whether such conversion occurs in the acidic contents of the stomach following oral administration has been the subject of much experimentation and debate (Golombek, Müller, Barthlott, Sproll, & Lachenmeier, 2020). At present no definitive answer is available.
3.11. ∆9-THC can be converted to cannabinol-C5 (CBN). This may be relevant to the storage of CBD products, especially when they are exposed to air and humidity (Pavlovic, et al., 2018), (Citti, et al., 2019). CBN is less potent than ∆9-THC in producing psychoactive effects (Perez-Reyes M., Timmons, Davis, & Wall, 1973) and has been reported to be present at lower levels than ∆9-THC in CBD products (Pavlovic, et al., 2018), (Defence Science and Technology Laboratory report, 2020b).
3.12. In addition to the oral route of administration, some consumer CBD products may be inhaled following vaporization or smoking. These include CBD vape-liquids and herbal CBD products such as “Cannabis light” (Cas, et al., 2020). Inhalation of ∆9-THC produces similar psychoactive effects following either vaporization or smoking (Abrams, et al., 2007) (Newmeyer, Swortwood, Abulseoud, & Huestis, 2017). In a recent study, it was reported that under oxidative conditions CBD could be converted to ∆9-THC by heating (Czégény, et al., 2021). However, it is not known at present if CBD would be converted to ∆9-THC when dissolved in liquids containing glycerine or propylene glycol which are commonly used for vaping.
Psychoactivity
3.13. The ACMD’s Phytocannabinoids report (ACMD, 2016) found sufficient evidence to determine the psychoactivity of ∆9-THC, delta-8-tetrahydrocannabinol (∆8-THC) and CBN. It was unsure about the psychoactivity of delta-9-tetrahydrocannabivarin (THCV). For the remaining 8 controlled phytocannabinoids there was not sufficient evidence to determine psychoactivity. Here the potential threshold dose that is unlikely to produce any psychoactive effect for ∆9-THC, ∆8-THC, THCV and CBN, is considered.
3.14. Most phytocannabinoid research has focused on ∆9-THC or CBD, with limited investigation of other phytocannabinoids, such as THCV, ∆8-THC or CBN.
∆9-THC
3.15. Experimental psychopharmacology studies in humans have found that acute administration of ∆9-THC can produce psychoactive effects at single oral doses as low as 2.5 – 5 mg (Haney, 2007), (Ballard & Wit, 2011), (Chesher, Bird, Jackson, Perrignon, & Starmer, 1990), (Beal, et al., 1995), (Beal, et al., 1997).
3.16. It has been reported that single inhaled doses of ∆9-THC as low as 2 mg can produce psychoactive effects (Zuurman, et al., 2008), (Klumpers, et al., 2012). There is a lack of studies testing the effects of single inhaled doses of ∆9-THC lower than 2 mg.
3.17. The peak level of subjective effects from ∆9-THC are similar for oral, smoked and vaporized administration of the same dose of ∆9-THC among infrequent Cannabis users, but oral administration results in slower onset and longer duration of effects (Newmeyer, Swortwood, Abulseoud & Huestis, 2017).
3.18. There is a lack of studies relating to the effects of lower doses of ∆9-THC in healthy subjects.
∆8-THC
3.19. Whilst the ACMD Phytocannabinoids report found ∆8-THC to be psychoactive, there was not sufficient evidence in humans to establish a threshold dose for psychoactive effects. However, there is a single report from the 1970s that suggests the potency both orally and intravenously of ∆8-THC is similar to ∆9-THC (Hollister & Gillespie, 1973).
THCV
3.20. The disputed potential psychoactivity of THCV motivated the 2016 report into phytocannabinoids (ACMD, 2016). That report concluded that the psychoactivity of THCV had not been determined.
3.21. Two studies found that a single oral dose of 10 mg THCV produced no detectable subjective effects (Tudge, Williams, Cowen & McCabe, 2015), (Rzepa, Tudge & McCabe, 2016). When administered orally for five sequential days, 10 mg THCV was also found to be indistinguishable from matched placebo (Englund, et al., 2016).
CBN
3.22. Oral administration of CBN produced no psychoactive effects at a dose of 50 mg (Karniol, Shirakawa, Takahashi, Knobel & Musty, 1975). A study comparing single intravenous doses of ∆9-THC, CBN and CBD found that the dose of CBN required to produce subjective psychoactive effects was over 10-fold higher than that for ∆9-THC (Perez-Reyes M., Timmons, Davis & Wall, 1973).
Summary
3.23. While the precise thresholds for psychoactive effects from ∆8-THC, THCV and CBN may not be possible to estimate, it can be concluded with reasonable certainty that the threshold dose for THCV and CBN would be substantially higher than the threshold for ∆9-THC, with that for ∆8-THC being unknown.
3.24. Cannabis in its various forms (leaf, flower, resin and extracts) is an exceptionally complex matrix comprising hundreds of phytochemicals, of which the cannabinoids (CBD, ∆9-THC, CBG, CBC, ∆8-THC, CBN, THCV) are also extremely variable in terms of their concentrations (Kinghorn, Falk, Gibbons & Kobayashi, 2017). However, while the concentration of ∆9-THC in Cannabis plant samples may be typically in the region of 15-20% the other controlled phytocannabinoids are present in very low concentrations e.g. <0.1% for THCV; <0.1% ∆8-THC; <1% for CBN (Chandra, et al., 2019).
3.25. The Working Group concluded that it is very unlikely that plant-derived consumer CBD products would contain sufficient controlled phytocannabinoids (apart from ∆9-THC) to produce any pronounced psychoactive effects unless they were purposely added to the product.
4. Analytical Techniques
4.1. Measurement of levels of controlled phytocannabinoids in consumer CBD products comprises three stages.
4.1.1. Extraction of the phytocannabinoids from the product matrix into a suitable solvent compatible with the analytical method to be used.
4.1.2. Separation of the phytocannabinoids from each other and from other non-phytocannabinoid compounds in the extract. This is normally performed by gas chromatographic (GC) or liquid chromatographic (LC) techniques. GC involves heating the sample and this will convert thermally labile precursor acids to active phytocannabinoids. LC does not involve high temperatures and so preserves thermally labile compounds.
Testing capability and reliability
4.5. In early 2021, an inter laboratory comparison trial (referred to as a ‘ring-trial’) sponsored by a number of government departments and devolved administrations, and co-ordinated by the Government Chemist’s Team was run to assess the capability of analytical laboratories (based in UK and elsewhere) to undertake the analysis of consumer CBD products for the presence of CBD and other phytocannabinoids, including ∆9-THC, ∆9-THCA-A, ∆8-THC, CBN and THCV (Government Chemist’s Team, 2021). While the full report is available online, below we provide a brief summary.
4.5.1. A set of three commercially available consumer CBD products, an oil, a spray and a body wash, was circulated to the participating laboratories and the analytical findings returned were evaluated. The participating laboratories used a variety of analytical techniques and protocols. The trial established that while the majority of the laboratories were able to produce satisfactory results for the amount of CBD in the products supplied, the results for other controlled phytocannabinoids, which were present in the samples at lower concentrations, were more varied. A number of participating laboratories were either unable to detect or to reliably quantitate some or all of the other phytocannabinoids of interest.
4.5.2. The trial identified the need to apply advanced analytical techniques, such as LC-MS/MS, in order to achieve the sensitivity necessary to quantitate accurately the controlled phytocannabinoids present in CBD products. The use of appropriate internal standards, such as stable isotope labelled versions of the target analytes, was recommended in order to improve the reliability of quantitation.
4.5.3. Application of the sensitive methodology suggested by the ring-trial evaluation, preferably combined with independently assessed quality assurance measures such as proficiency testing and accreditation, would improve the analytical reliability that would be necessary to underpin any regulations developed to limit the levels of controlled phytocannabinoids in CBD products.
4.6. When analysing trace components of complex materials, matrix effects, such as those caused by other components co-eluting from the separation stage of the analysis with the target species, can be problematic. Therefore, the levels of accuracy achieved in laboratories (such as within the Government Chemist’s ring trial (Government Chemist’s Team, 2021) may differ from the theoretical maximum of these techniques as reviewed in the Dstl report (Defence Science and Technology Laboratory report, 2020b).
4.7. The extraction and analysis of trace amounts of phytocannabinoids in consumer CBD products is technically challenging. The extraction method and parameters used for the method of analysis need to be optimised for each type of product; there is no single method that can be used effectively for all products.
4.8. The product composition or matrix (this may include oils, fats, sugars, gums, particulates etc) can reduce the efficiency of extraction of the controlled phytocannabinoids. The exact chemical composition of the product matrix may not be known and therefore it may only be possible to simulate approximately the matrix with a similar matrix (for matrix matching). These sample matrix effects necessitate the use of extraction methods optimised for each CBD product and the use of an internal standard to compensate for any reduction in extraction efficiency.
4.9. The CBD isolate used in the production of consumer CBD products contains many other compounds present in trace amounts which may interfere with the detection of ∆9-THC and other controlled phytocannabinoids. CBD itself has a chemical structure closely related to those of the controlled phytocannabinoids but is present at a concentration several thousands of times higher, which makes it difficult to detect the controlled phytocannabinoids at trace levels.
4.10. ∆9-THC and other controlled phytocannabinoids at trace levels are also susceptible to chemical degradation by heat and oxidation during the process of extraction and analysis.
4.11. In addition, analytical uncertainty tends to increase as the concentration of the analyte being measured decreases (the ‘Horwitz trumpet’ effect).
4.12. Detection and quantification of low levels of ∆9-THC and other controlled phytocannabinoids in the presence of CBD within a variety of matrices is analytically challenging and use of inadequate analytical procedures could lead to erroneously negative findings.
4.13. Quality assurance techniques such as use of appropriate reference materials, analysis of control samples and participation in proficiency testing can all help to ensure that analyses are valid, and results are dependable. However, the most effective route to be able to demonstrate analytical competence and reliability of results is for the analytical processes to be accredited to the international standard, ISO 17025, by means of third-party assessment. This addresses aspects such as the qualifications, training and experience of the staff, use of appropriate and validated testing procedures and equipment which is properly calibrated and maintained, adequate quality assurance procedures, proper sampling practices, traceability of measurements to national standards, accurate recording and reporting procedures and the suitability of testing facilities.
4.14. Laboratories assessing compliance would need to be accredited to the ISO standard. Producers should use laboratories which hold that accreditation to perform their quality assessment testing.
4.1.3. Detection and quantification of the amount of each phytocannabinoid. There are various techniques used for detection which differ in their sensitivity (see Annex C). Quantification of the amount of each phytocannabinoid present requires comparison with certified standards of each compound.
4.2. The commonly used methods of separation and detection have recently been reviewed by the Defence Science and Technology Laboratory (Defence Science and Technology Laboratory report, 2020b). The advantages, disadvantages and Limit of Quantification (LoQ) of each technique are summarised with descriptions in Annex C. Mass spectrometry (MS) or tandem mass spectrometry (MS-MS) offer the most sensitive methods for quantification but are also the most expensive to perform.
4.3. Accurate measurement of phytocannabinoids depends both on the resolution of the separation method and the selectivity of the detection method. GC with flame ionisation detection or LC with UV detection have low specificity and therefore if ∆9-THC and other trace phytocannabinoids are not completely separated from one another and from other substances in the extract then coelution with interfering substances may increase the detector response causing an overestimate of the analyte concentration. This can largely be overcome by use of a more selective detector such as MS or MS-MS which can usually be set to only respond to the analyte of interest even if it coelutes with another substance.
4.4. In order to comply with any specified limits for the concentrations of ∆9-THC and other controlled phytocannabinoids in consumer CBD products the analytical method must be capable of detecting and quantifying these substances at concentrations below the specified limits. Using a method with insufficient sensitivity and obtaining a negative result does not prove that the phytocannabinoid is not present.
Phytocannabinoid reference standards
4.15. Chemical reference standards are well characterised substances which can be used as points of comparison to support identification and quantitation of target analytes. Reference standards produced by suppliers certified to the relevant International Standard (ISO Guide 34) provide reliable and traceable reference points.
4.16. Major suppliers of drug-related chemical reference materials provide certified reference standards for the most common phytocannabinoids of analytical interest such as: ∆9-THC, ∆9-THCA-A, ∆8-THC, THCV, CBD, CBN and CBC. Product ranges include stable-isotope labelled versions of THC, CBD and CBN. However, currently standards are not commercially available for all of the controlled phytocannabinoids (See Annex D).
5. Interpretation of findings
5.1. The purpose of this report is to recommend appropriate limits on the level of controlled phytocannabinoids within consumer CBD products. It is common practice for the weight of phytocannabinoids to be reported as a percentage of the amount of CBD present. However, the range of consumer products derived from Cannabis is rapidly changing, with new products coming to market for the consumption of other uncontrolled phytocannabinoids such as cannabichromene (CBC) and cannabigerol (CBG). To future proof any legislation, the recommended limits of controlled phytocannabinoids in this report are given as weight in grams or weight of phytocannabinoid as a percentage of the weight of product.
5.2. In a review of the open literature on the analysis of CBD consumer products Dstl collated data (Figure 1) demonstrating a wide range of ∆9-THC content in products (Defence Science and Technology Laboratory report, 2020b).
Figure 1: Bar chart with logarithmic y-axis showing the ranges of Δ9-THC content in different CBD and hemp consumer products reported in the open literature. The top and bottom ends of each bar represent the maximum and minimum quantities detected in the samples. Figure reproduced from Defence Science and Technology Laboratory, 2020b © Crown Copyright 2020.
5.3. The variation in the ∆9-THC content within the same types of products (Figure 1) likely reflects the unregulated nature of the market.
5.4. From the consultations with industry it is the Working Group’s understanding that typical CBD isolate used in the production of CBD products contains 0.02-0.03% (% w/w ∆9-THC to CBD i.e. not ∆9-THC as a % weight of product). CBD isolate containing lower amounts of ∆9-THC are commercially available (e.g. with 0.005-0.007% ∆9-THC to CBD) but these are more expensive to produce.
Controlled phytocannabinoids for which levels should be set
5.5. When considering which phytocannabinoids should have limits set the following factors were taken into account:
5.5.1. Levels (relative) found in Cannabis preparations/Cannabis plants.
5.5.2. The potential psychoactive potency of each phytocannabinoid.
As described in Chapter 3, the controlled phytocannabinoids other than ∆9-THC are either present in insufficient quantities or are of such low potency that they can be considered not to exert any psychoactive effect when present in consumer CBD products. Therefore, the Working Group concluded that it was appropriate to set specific limits for the content of ∆9-THC and its precursors ∆9-THCA-A and ∆9-THCA-B in consumer CBD product.
5.6. ∆9-THC and ∆9-THCA (i.e. ∆9-THCA-A and ∆9-THCA-B) are present in CBD products. ∆9-THCA can convert to ∆9-THC with heat. Therefore, to control the quantity of ∆9-THC the limit should also take into account ∆9-THCA. These two compounds can either be measured in a combined manner (when analysis is performed using a technique that involved heating such as gas chromatography) or separately (when using techniques like liquid chromatography). When measured separately, within US legislation (US legislation, 2018), the amounts of each are combined to give the total possible ∆9-THC content taking into account their relative molecular weights using the following formula
∆9-THCtotal = ∆9-THCweight + (0.877 x ∆9-THCAweight).
Equation 1: Formula for total ∆9-THC content
5.7. However, not setting any limit for the other controlled phytocannabinoids could set a precedent whereby a CBD product to which any of these other controlled phytocannabinoids had been added (i.e. spiked) might be considered legal. To prevent this possibility, it was agreed that the maximum level of each controlled cannabinoid should be the same as ∆9-THC + ∆9-THCA.
5.8. Whilst the other controlled cannabinoids do have precursor acids, they are present in low amounts. The need to measure these could become burdensome upon producers. Therefore, it was decided not to recommend controlling these at present.
Determining a maximum dose of ∆9-THC that would not produce a psychoactive effect
5.9. In considering what would be the appropriate level for ∆9-THC in commercial CBD products we first considered the lowest dose of ∆9-THC that would produce any adverse effects (LOAEL). In the written submissions received to our Call for Evidence and in international food regulations the recommended LOAEL for ∆9-THC ranges between 2 – 5 mg/day. This agrees with the experimental studies on psychoactive properties described in paragraphs 3.15 – 3.18.
5.10. The remit of this report was to recommend a ‘low’, trace level for the controlled phytocannabinoids in consumer CBD products under the MDA and so consideration was given to the maximum dose of ∆9-THC that would be unlikely to produce any psychoactive effect (i.e. elevation of mood or ‘high’). The Working Group consider that a ∆9-THC dose of 1 milligram (mg) was unlikely to produce significant psychoactive effects.
5.11. A major challenge for recommending a single dose level for ∆9-THC is how applicable it is to consumer CBD products consumed by different routes of administration– oromucosal, oral, inhalation, topical – where the bioavailability, rate of absorption and peak levels may be different. In studies of the psychoactive effects produced by the same dose of 9-THC administered orally or by inhalation the peak level of effect was observed to be comparable between the two routes (Ohlsson et al.); infrequent users in (Newmeyer, et al.). In the absence of more definitive studies on the maximum dose of ∆9-THC that would be unlikely to produce any psychoactive effect when given by different routes of administration the Working Group propose that 1 mg should apply to all consumer CBD products.
5.12. There is very limited information available on whether young people are more or less sensitive to the psychoactive effects of ∆9-THC. In one study comparing the acute effects of Cannabis in adolescent (16–17 years old) and adult (24–28 years old) male Cannabis users, it was reported that after inhaling vaporized Cannabis, adolescents reported fewer psychoactive effects than adults (Mokrysz et al).
5.13. The ACMD has consulted with the National Poisons Information Service who report that for consumer CBD products in general episodes of toxicity involving children are very rare.
5.14. Two additional uncertainty factors were then applied (Table 1):
The first of 10 (to account for differences in age, body size, individual variation in response) and,
a second of 2 (to take account of variations in use or concurrent use of more than one product).
5.16 No uncertainty factor has been applied to account for the possibility of CBD along with other cannabinoid and terpenoid compounds that may be present in CBD products acting to enhance the actions of 9-THC. Studies to date have not provided compelling evidence for such an interaction (Chesney, McGuire, Freeman, Strang, & Englund, 2020), (Finlay, Sircombe, Nimick, Jones, & Glass, 2020), (Heblinski, et al., 2020), (Santiago, Sachdev, Arnold, McGregor, & Connor, 2019), (Cogan, 2020).
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Calculation
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∆9-THC – total amount
|
∆9-THC – total amount (g)
|
Non psychoactive dose
|
1 mg
|
1 x 10-3
|
Reduction by 10x (to account for variability in age, body size, individual variation in response)
|
100 µg
|
1 x 10-4
|
Further reduction by 2x (to take account of variations in use or concurrent use of more than one product)
|
50 µg
|
5 x 10-5
|
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Table 1: Calculation of recommended maximum ∆9-THC dose.
Setting the defined trace percentage for ∆9-THC in consumer CBD products
5.17. Three approaches to setting the limits for the level (concentration) of controlled phytocannabinoids in consumer CBD products were considered, along with their advantages and disadvantages.
Setting a level that would apply to all consumer CBD products
Setting a level as a percentage of CBD content
Setting different levels for different CBD products
5.18. Setting a level for controlled phytocannabinoids that would apply to all consumer CBD products has the advantage of being the simplest to do in legislation. However, it has practical disadvantages.
5.18.1. Due to the differences in product matrix and difficulties in extracting phytocannabinoids from different products (see Chapter 4: Analytical Techniques) a limit that is practical to test in one product such as a drink might not be practical in another such as oil or food.
5.18.2. There are significant differences in the weight of a typical single serving of different products (here the terms ‘unit of consumption’ and ‘single serving’ are used to refer to a typical quantity consumed in one occasion, such as drops of oil, capsule, bottle or can of drink, or a chocolate bar). To meet the limit set, producers of products for which a single serving is of low weight (e.g. oils, capsules) would therefore have to use initial CBD isolate of higher purity (lower levels of 9-THC) than producers of products where the single serving is of higher weight (e.g. chocolate bar, drinks) if the final concentration of 9-THC has to be under the limit set. This would have significant financial implications for manufacturers of CBD products that have a low single serving weight as they would have to use CBD isolate of lower 9-THC content (see paragraph 5.4).
5.19. Setting a level for controlled phytocannabinoids as a percentage of CBD content has the advantage of being practical as the ratio of controlled phytocannabinoid to CBD content could be determined in the initial isolate. However, this method presents three difficulties.
5.19.1. A product with large quantities of controlled phytocannabinoids could be produced by increasing the level of CBD.
5.19.2. Separate legislation would be required to limit the content of controlled phytocannabinoids in any new consumer products containing uncontrolled phytocannabinoids such as CBC or CBG.
5.19.3. In calculating this ratio of 9-THC to CBD the error in the estimations of each would be compounded when taking the ratio.
5.20. Setting levels for different types of product individually allows for variations in weight of single servings of different products and avoids the problems that arise when setting one limit across all products as outlined above. Setting levels for the controlled phytocannabinoids avoids issues of setting the limit relative to the CBD content, though it does mean considerations have to be made to what is feasible regarding the sensitivity of the methods used to measure low concentrations of phytocannabinoids. The Regulations would be more complex and require product by product evaluation but would provide a framework that can be used in future for novel products that will require market authorisation.
5.21. Some example limits are calculated below for CBD oil, drinks and chocolate bars (Table 2). Given the lack of evidence of the consumption of large amounts of a CBD product to obtain the psychoactive effects, the group have calculated limits assuming the user consumes a single serving of these products for the claimed wellbeing effect. These limits have been calculated on the basis of what the Working Group thought was a normal amount to be consumed, however, this has been done for illustrative purposes and would need to be performed on a product by product basis.
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Product
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Weight of serving (g)
|
D9-THC limit (w/w)
|
D9-THC limit (% w/w)
|
Oil
|
0.45 (0.5 ml)
|
1.1 x 10-4
|
0.011 (1.1 x10-2)
|
Drink
|
524 (500 ml)
|
9.5 x 10-8
|
0.0000095 (9.5x10-6)
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Chocolate bar
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100
|
5 x 10-7
|
0.00005 (5x10-5)
|
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- 삭제
Table 2: Guide limits for three common consumer CBD products containing 50 micrograms ∆9-THC
5.23. Although testing can theoretically achieve a level of quantification of 1.1x10-7 % (Defence Science and Technology Laboratory report, 2020b) the current testing capacities might not be able to achieve this in all product types (see 4. Analytical Techniques and Annex C). Therefore, there would need to be investment within analytical testing to check these levels.
6. Conclusions
6.1. Extraction of controlled phytocannabinoids from consumer CBD products is unlikely to be a viable means of obtaining these drugs for illicit use.
6.2. It would be appropriate to set specific limits for the content of 9-THC and its precursor 9-THCA (i.e. ∆9-THCA-A and ∆9-THCA-B) in consumer CBD products.
6.3. Plant-derived consumer CBD products would not contain sufficient controlled phytocannabinoids (other than ∆9-THC) or their precursor acids to produce any pronounced psychoactive effects unless they were added to the product (i.e. spiked). To prevent the possibility of spiking a limit should be set for all controlled phytocannabinoids in consumer CBD products.
6.4. The dose limit for total 9-THC (∆9-THC plus ∆9-THCA) should be 50 micrograms (µg) in a unit of consumption (where a unit of consumption or ‘single serving’ is the typical quantity of a CBD product consumed on one occasion).
6.5. At the recommended levels the controlled phytocannabinoids present in consumer CBD products are highly unlikely to produce any harmful effects.
6.6. Setting a single concentration limit that applies to all consumer CBD products would not be appropriate.
6.7. Further research is needed to confirm whether conversion of CBD to ∆9-THC by extreme heating can occur and its relevance to the processes involved in CBD vaping evaluated.
6.8. Currently the methods for extraction, separation and quantification of controlled phytocannabinoids in consumer CBD products are not sufficiently robust with regards to sensitivity, accuracy and reproducibility.
6.9. Laboratories assessing compliance should be accredited to the ISO standard and producers should use laboratories which hold that accreditation to perform their quality assessment testing.
7. Recommendations
The ACMD make the following recommendations to provide a legal framework to control the amounts of phytocannabinoids in consumer CBD products under the MDA.
Recommendation 1
That the total dose of ∆9-THC (including ∆9-THCA, as calculated using Equation 1) and all other controlled phytocannabinoids in consumer CBD products be controlled. The dose of each controlled phytocannabinoid should not exceed 50 micrograms (µg) per unit of consumption.
Note 1. A unit of consumption or ‘single serving’ being defined as the typical quantity of a CBD product consumed on one occasion.
Lead organisations: Home Office.
Measure of impact: This will have been implemented by a change to the Misuse of Drugs Regulations 2001 (MDR).
Recommendation 2
That regulatory authorities ensure that any consumer CBD product permitted to market has limits on the content of controlled phytocannabinoids such that the dose of ∆9-THC (including its precursor ∆9-THCA) and of each of the other controlled phytocannabinoids does not exceed 50 micrograms (µg) per unit of consumption.
Lead organisations: Home Office liaising with the appropriate regulatory authorities and their devolved counterparts where appropriate:
Food Standards Agency (FSA)
Department for Business, Energy and Industrial Strategy (BEIS): (Office for Product Safety and Standards (OPSS)
Department for Health and Social Care (DHSC): Office for Health Improvement and Disparities (OHID); and,
Department for Environment Food and Rural Affairs (DEFRA) (UK REACH)
Measure of impact: Evidence of compliance with the permitted levels. The ACMD advise another analysis of the controlled phytocannabinoid content of consumer CBD products is performed by Dstl two years after the implementation of the regulations to check the level of compliance.
Recommendation 3
A further inter laboratory comparison trial (ring trial) should be commissioned specifically to support the capability of testing laboratories to detect controlled phytocannabinoids below the recommended maximum levels in a representative range of consumer CBD products
Lead organisations: Home Office
Measure of impact: An assessment of whether the necessary level of accuracy can be achieved in practice.
Recommendation 4
That development of more accurate testing for controlled phytocannabinoids is supported (as outlined in Notes 1 – 3 below) to allow testing capabilities to develop and be fully regulated.
Note 1: Standardised protocols should be developed for the extraction, separation and quantification of controlled cannabinoids (and their precursor acids) from consumer CBD products. These must be of sufficient reproducibility and sensitivity to be appropriate for the measurement of the level of controlled phytocannabinoids as recommended in this report.
Note 2: As chemical reference standards are not currently commercially available for all controlled phytocannabinoids, suppliers of chemical reference materials should be encouraged to produce certified standards for those controlled cannabinoids for which standards are not currently available.
Note 3: ACMD supports the recommendation from the Dstl report (Defence Science and Technology Laboratory report, 2020b) that the analytical methods used should be accredited to ISO 17025:2017 to ensure appropriate method validation, quality control and independent assessment of the methods.
Lead organisations: Home Office.
Measure of impact: An increase in the number of laboratories that have been, or are in the process of becoming, accredited to demonstrate their capability to quantify ∆9-THC and related controlled phytocannabinoids in CBD products.
Annex A: list of abbreviations used in this report
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Abbreviation
|
Name
|
∆9-THCA
|
trans-delta-9-tetrahydrocannabinol-C5 acid
|
∆9-THCA-A/B
|
trans-delta-9-tetrahydrocannabinol-C5 Acid 2/4-carboxylic acid
|
ACMD
|
Advisory Council on the Misuse of Drugs
|
BEIS
|
Department for Business, Energy & Industrial Strategy
|
CB1 receptor
|
Cannabinoid type-1 receptor
|
CB2 receptor
|
Cannabinoid type-2 receptor
|
CBC(A)
|
Cannabichromene (Acid)
|
CBD(A)
|
Cannabidiol (Acid)
|
CBG(A)
|
Cannabigerol (Acid)
|
CBN
|
Cannabinol-C5
|
DEFRA
|
Department for Environment, Food and Rural Affairs
|
DHSC
|
The Department of Health and Social Care
|
Dstl
|
Defence Science and Technology Laboratory
|
FSA
|
Food Standards Agency
|
g
|
Gram (weight)
|
GC
|
Gas Chromatography
|
INCB
|
International Narcotics Control Board
|
LC
|
Liquid Chromatography
|
LoQ
|
Limit of Quantification
|
MDA
|
Misuse of Drugs Act 1971
|
MDR
|
Misuse of Drugs Regulations 2001
|
µg
|
Microgram (0.000001 g = 1 x 10-6 g)
|
mg
|
Milligram (0.001 g = 1 x 10-3 g)
|
MS
|
Mass Spectrometry
|
MS-MS
|
Tandem Mass Spectrometry
|
OHID
|
Office for Health Improvement and Disparities (formerly Public Health England)
|
OPSS
|
Office for Product Safety and Standards
|
PSA
|
Psychoactive Substances Act 2016
|
SCRA
|
Synthetic cannabinoid receptor agonists
|
THC(A)
|
Tetrahydrocannabinol (Acid)
|
THCV
|
Delta-9-Tetrahydrocannabivarin
|
UK
|
United Kingdom
|
UK REACH
|
Registration, Evaluation, Authorisation and Restriction of Chemicals
|
UNODC
|
United Nations Office on Drugs and Crime
|
US
|
United States
|
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Annex B: quality of evidence
Range of evidence
Evidence gathered was considered in line with the ACMD’s ‘Standard Operating Procedure for using evidence in ACMD reports’ (ACMD, 2020).
The report mainly referred to peer-reviewed scientific literature, government reports (UK and international), a call for evidence carried out by the ACMD (ACMD, 2021) and past ACMD reports. To understand the CBD market better, the Working Group received information from representatives from the Defence Science and Technology Laboratory (Dstl), the Government Chemist’s Team and representatives of industry. To understand the current legislation the Working Group had discussions with representatives from the Home Office, Food Standards Agency, Department for Business Energy and Industrial Strategy, the Department for Health and Social Care and the Department for Environment, Food and Rural Affairs.
Quality of this evidence
There is limited literature about the controlled phytocannabinoids outside of ∆9-THC, however, there is evidence about the effects of ∆9-THC on humans.
The Dstl reports gave good insight into the theoretical testing capacity of different methods, however, there was poor evidence about what could be achieved in practice (Defence Science and Technology Laboratory report, 2020a), (Defence Science and Technology Laboratory report, 2020b). This was further complicated by the need to extract from different matrices. The main evidence for the practical capacity for the analytics industry to test was the Government Chemist’s Team ring trial (Government Chemist’s Team, 2021).
The call for evidence carried out by the ACMD received 14 responses, mainly from industry but also interested members of the public. The quality of this evidence ranged from full reports backed up by peer-reviewed literature to subjective opinion. This was all considered by the Working Group. The Working Group also considered the small sample size.
Evidence relevant to recommendations
Whilst there was evidence about the quantity of ∆9-THC to produce a psychoactive effect this was when only consuming ∆9-THC not with other phytocannabinoids. However, the international comparison gave the Working Group confidence in Recommendation 1 and Recommendation 2. The results of the ring trial and the Dstl reports back the need for Recommendation 3 and Recommendation 4.
Annex C: analytical methods
The following is a summary table of analytical techniques taken from the Defence Science and Technology report (2020b). Following this is a description of these techniques.
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Technique
|
Properties: advantages
|
Properties: disadvantages
|
Average LoQ of cannabinoids (mg/kg)
|
Average LoQ of cannabinoids (w/w %)
|
GC-FID
|
Low cost, simple and reproducible technique
|
Low sensitivity, cannot measure thermally labile acid form cannabinoids without derivatisation (decarboxylation occurs in hot GC inlet).
|
3,500
|
0.35
|
GC-MS (Direct)
|
High selectivity and sensitivity
|
High cost. Cannot measure thermally labile acid form cannabinoids without derivatisation (decarboxylation occurs in hot GC inlet).
|
0.46
|
0.000046 (4.6 x 10-5)
|
GC-MS (Derivatisation)
|
High selectivity and sensitivity
|
High cost. Trace level conversion of CBD to THC possible under acidic conditions. Difficult to disprove because of lack of THC-free matrix.
|
0.375
|
0.0000375 (3.75 x 10-5)
|
GC-MS/MS
|
Very high selectivity and sensitivity
|
Very high cost, derivatisation required for highest sensitivity can be inconsistent and compromise quantitative analysis. Expensive isotopically labelled reference chemicals required for accurate quantitation.
|
0.0011
|
0.00000011 (1.1 x 10-7)
|
LC-UV
|
Low cost, moderate to high sensitivity, selective for both acidic and neutral cannabinoids
|
Less selective than mass spectrometry and subject to matrix effects in complex samples.
|
27.59
|
0.002759 (2.759 x 10-3)
|
LC-MS
|
High selectivity and sensitivity High cost.
|
May requires longer methods to facilitate proper resolution between compounds that co-elute as a result of less MS selectivity than tandem mass spectrometry.
|
N/A
|
N/A
|
LC-MS/MS
|
Very high selectivity and sensitivity
|
Very high cost, matrix matching important for quantitative analysis and assessment of ion suppression in validation. Expensive isotopically labelled reference chemicals required for accurate quantitation.
|
0.004
|
0.0000004 (4 x 10-7)
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Table 3: Summary table of analytical techniques. (Table 2 from (Defence Science and Technology Laboratory report, 2020b))
Below is a description of these techniques.
Gas-chromatography (GC)
A gas-chromatograph comprises a long, narrow, tube coated on the inside with a thin film of non-volatile liquid, known as the stationary phase. The tube, referred to as the analytical column, is coiled and heated in an oven. A small aliquot of a solvent extract is injected into one end of the heated column via a heated inlet which immediately vaporises the extract. A carrier gas, typically helium, hydrogen or nitrogen, flows through the column taking with it the evaporated extract. The compounds present in the extract will emerge from the other end of the column at different times (known as retention times) depending on their volatility and interaction with the stationary phase. Compounds are identified by comparing their retention time with those of reference standards.
GC is only suitable for compounds that are soluble and can be vaporised or converted to a volatile compound by derivatisation. It is not suitable for thermally labile compounds (e.g. THCA).
Several different methods can be used to detect the separated compounds as they emerge from the end of the GC column.
Gas-chromatography with Flame Ionisation detection (GC-FID)
The effluent from the end of the column is passed through a small hydrogen-air flame. When a compound emerges from the column and burns in the flame it produces ions which are detected as an electrical current. The current produced is proportional to the amount of compound being burnt. GC-FID can therefore be used to quantify the concentration of a compound in the extract by comparison of a reference standard of known concentration. However, the specificity of GC-FID is limited, as compounds are only identified by their retention time.
Gas-chromatography with Mass Spectrometry (GC-MS)
Mass spectrometry is a powerful analytical technique that can be used to identify compounds by elucidating their chemical structure. In GC-MS the effluent from the GC column enters the mass spectrometer where molecules of any compounds emerging from the GC column are bombarded with a beam of electrons. The collision will remove an electron from some of the molecules producing positively charged particles (ions) and some of these charged particles will break up into positively charged fragments of various sizes. A simple analogy would be a china cup which will break up into several characteristic pieces (handle, base, rim, etc) when dropped on the floor. The mass spectrometer then uses electric and magnetic fields in a ‘mass analyser’ to measure the size (“weight”) of each of the positively charged particles. An ion detector such as an electron multiplier is then used to detect the charged particles of each size. The results can be displayed as a mass spectrum on a chart showing the relative signal intensities of the detected ions. The mass spectrum can then be used to identify the parent compound by comparison with a library of mass spectra of reference compounds. The fragmentation pattern can also be used to elucidate the chemical structures of unknown compounds. The detector response for each fragment size is proportional to the concentration of the parent compound and therefore GC-MS can also be used to quantify the concentration of the compound in the extract.
Gas-chromatography with Tandem Mass Spectrometry (GC-MS/MS)
The tandem mass spectrometer consists of two mass analysers coupled together. Sample extracts are analysed in the same way as GC-MS but selected charged particles of a particular size from the first mass analyser are made to split into smaller fragment ions. The size and abundance of these ‘daughter ions’ are then measured in a second mass analyser. These mass transition from a selected fragment ion to daughter ions provides greater confidence in the identification of unknown compounds. GC-MS/MS is useful for complex matrices and low-level quantitation.
Liquid Chromatography (LC)
Liquid chromatography, also referred to a high pressure or high-performance chromatography (HPLC), is based on the partition of compounds between a solid stationary phase and a liquid mobile phase. It comprises a chromatography column made from a short stainless-steel tube (typically 30-300mm long and 6mm outside diameter) packed with very small particles (typically 5μm diameter) of a stationary phase, such as silica or chemically modified silica. A mobile phase, typically a mixture of solvents such as water and acetonitrile and/or methanol, is forced through the column at a regulated rate using a high-pressure pump. A small aliquot of the solvent extract is injected into the mobile phase which carries the sample onto the column. Compounds present in the extract will emerge from the end of the column at different times (known as the retention time) depending on the strength of their attraction to the stationary phase.
Advantages of LC are that it can be used for non-volatile and thermally labile compounds, such as THCA, which are not suitable for GC analysis.
Several different methods can be used to detect the separated compounds as they emerge from the end of the LC column.
Liquid Chromatography with UV (LC-UV)
LC-UV is useful for the detection of compounds which have an absorption spectrum in the ultra-violet (UV) region such as those that contain pi-bonds as found in aromatic rings, carbonyl groups and double bonds. The phytocannabinoids all contain an aromatic ring so can be analysed by LC-UV.
In an LC-UV detector the effluent from the LC column passes through a transparent flow cell located in a beam of UV light of a fixed wavelength. The mobile phase does not absorb much UV light so when a compound emerges from the column it will absorb some of the UV light producing a peak in the chromatogram. Early LC-UV detectors used a mercury lamp for the light source which emits UV light at a fixed wavelength of 254 nm. More recently LC-UV detectors use a deuterium discharge lamp as it provides an almost continuous spectrum of light over the 190–400 nm range. A diffraction grating is then used to select a suitable wavelength for the compounds being analysed. In both cases, the amount of UV light passing through the flow cell is measured using a photodiode and compared to the amount of UV light entering the flow cell.
The specificity of LC-UV detection at a fixed wavelength is limited as many compounds have an absorption in the ultraviolet region so compounds are only identified by their retention time.
The sensitivity of UV detection depends on how much UV light a standard solution of the compound absorbs (the molar extinction coefficient). The amount of UV light absorbed is proportional to concentration so LC-UV can be used for the quantitation of compounds by comparing the response with reference standards of known concentration.
Liquid Chromatography with Photodiode Array/Diode Array Detection (LC-UV/DAD)
The specificity of the LC-UV detector is greatly improved by measuring the absorption of UV light at more than one wavelength. In a (photo)diode array detector (DAD or PAD) light from the deuterium discharge lamp is shone directly onto the flow cell and UV light passing through the flow cell is dispersed by a diffraction grating (in the same way that a prism splits visible light into different colours). The amount of dispersed UV-light at each wavelength is measured simultaneously using an array of, typically 1024, photodiodes. The diode array detector can therefore record the complete UV spectrum of each compound emerging from the LC column, which considerably enhances the specificity. However, a disadvantage of LC-UV/DAD is that it is less sensitive than the fixed wavelength LC-UV detector. This is because the photodiodes in a diode array are much smaller than the single photodiodes used in a fixed wavelength UV detector and so receive less light.
Liquid Chromatography with Mass Spectrometry and Tandem Mass Spectrometry (LC-MS and LC-MS/MS)
These techniques are analogous to the corresponding GC-MS and GC-MS/MS techniques, the main difference being the interface between the LC column and the inlet of the Mass Spectrometer. The development of LC-MS was limited for many years due to the incompatibility of the MS electron beam ionisation process, which takes place in a vacuum, with a continuous liquid stream emerging from the LC column. This problem was overcome in the 1980’s by the development of the electrospray ion source. The effluent from the LC column passes through a metal capillary maintained at a high voltage (3 – 5kV). The liquid is then nebulised at the tip of the capillary to form a fine spray of charged droplets. The solvent in these droplets rapidly evaporates and the residual electrical charge is transferred to the analyte to create molecular ions. These ions are then transferred into the high vacuum of the mass spectrometer via a series of small apertures and electric fields.
Electrospray ionisation (ESI) transfers relatively little energy to the analyte molecules, so little fragmentation occurs. LC-MS is therefore less specific than GC-MS as the mass spectrum contains less structural information than for GC-MS.
A further issue with ESI is ion suppression, which can occur when more than one component elutes simultaneously and are present in the same spray droplets. This can result in the electric charge being preferentially transferred to one of the components, suppressing the ions of the other component(s). This can be a limitation on the sensitivity of LC-MS and can lead to unreliable quantitative results. Stable isotope labelled internal reference standards can be used to overcome the quantitation problem, otherwise sample preparation methods need to be developed to minimise the effects of ion suppression.
Liquid Chromatography with Tandem Mass Spectrometry (LC-MS/MS)
In tandem mass spectrometry, the ions produced by ESI can be induced to undergo more extensive fragmentation by collisions with an inert gas such as nitrogen or argon in a collision cell located between two mass analysers. The fragments can then be characterised in the second mass analyser. This is analogous to the GC-MS/MS technique and provides greater confidence in identifications.
Annex D: controlled phytocannabinoids information
This table contains information on the 12 controlled phytocannabinoids identified in the ACMD’s Phytocannabinoids report (ACMD, 2016) with additional technical information provided to us by the Laboratory of Government Chemist and the Working Group.
The chemical structures can be found in the PDF version of the report.
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IUPAC Name
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Synonyms
|
CAS Number
|
Sufficient evidence of psychoactivity (ACMD, 2016)?
|
Consider psychoactive?
|
Dose producing no psychoactive effect
|
Reference Standards
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(-)(6aR,10aR)-6,6,9-trimethyl-3-pentyl-6a,7,8,10a-tetrahydro-6H-benzo[c]chromen-1-ol (+)(6aS,10aS)-6,6,9-Trimethyl-3-pentyl-6a,7,8,10a-tetrahydro-6H-benzo[c]chromen-1-ol
|
Dronabinol, (±)Trans-delta-9-Tetrahydrocannabinol, (±)delta-9-THC
|
(-) 1972-08-3 (+) 17766-02-8
|
Yes
|
Yes
|
1 mg
|
Yes
|
(-) (6aS,10aR)-6,6,9-Trimethyl-3-pentyl-6a,7,8,10a-tetrahydro-6H-benzo[c]chromen-1-ol (+)(6aR,10aS)-6,6,9-trimethyl-3-pentyl-6a,7,8,10a-tetrahydro-6H-benzo[c]chromen-1-ol
|
(±) Cis-delta-9-tetrahydrocannabinol
|
(-) 43009-38-7 (+) 69855-10-3
|
No
|
Unknown
|
N/A
|
Yes
|
(6aR,10aR)-3-butyl-6,6,9-trimethyl-6a,7,8,10a-tetrahydro-6H-benzo[c]chromen-1-ol
|
nor-THC, delta-9-tetrahydrocannabibutol, delta-9-THC-butyl, delta-9-THC-C4, THCB
|
60008-00-6
|
No
|
Unknown
|
N/A
|
Yes
|
(6aR,10aR)-6,6,9-trimethyl-3-propyl-6a,7,8,10a-tetrahydro-6H-benzo[c]chromen-1-ol
|
delta9-Tetrahydrocannabivarin, THCV
|
31262-37-0
|
Unclear
|
Unclear
|
10 mg
|
Yes
|
(6aR,10aR)-3,6,6,9-tetramethyl-6a,7,8,10a-tetrahydro-6H-benzo[c]chromen-1-ol
|
delta1-tetrahydrocannabiorcol, delta-9-tetrahydrocannabinol-C1, delta-9-THC-C1, delta-9-tetrahydrocannabiorcol
|
22972-65-2
|
No
|
Unknown
|
N/A
|
Yes
|
(6aR,10aR)-6,6,9-trimethyl-3-pentyl-6a,7,10,10a-tetrahydro-6H-benzo[c]chromen-1-ol
|
delta-8-tetrahydrocannabinol
|
5957-75-5
|
Yes
|
Yes
|
Not enough evidence
|
Yes
|
3,6,6,9-Tetramethyl-6H-benzo[c]chromen-1-ol
|
Cannabinol-C1, cannabiorcol, CBN-C1
|
|
No
|
Unknown
|
N/A
|
Not currently
|
6,6,9-trimethyl-3-ethyl-6H-benzo[c]chromen-1-ol
|
Cannabinol-C2, CBN-C2
|
|
No
|
Unknown
|
N/A
|
Not currently
|
6,6,9-trimethyl-3-propyl-6H-benzo[c]chromen-1-ol
|
Cannabinol-C3, CBN-C3, cannabivarin
|
33745-21-0
|
No
|
Unknown
|
N/A
|
Yes
|
6,6,9-trimethyl-3-butyl-6H-benzo[c]chromen-1-ol
|
Cannabinol-C4, CBN-C4
|
|
No
|
Unknown
|
N/A
|
Not currently
|
6,6,9-trimethyl-3-pentyl-6H-benzo[c]chromen-1-ol
|
Cannabinol, cannabinol-C5, CBN
|
521-35-7
|
Yes
|
Yes
|
50 mg
|
Yes
|
1-methoxy-6,6,9-trimethyl-3-pentyl-6H-benzo[c]chromene
|
Cannabinol monomethyl ether, cannabinol methyl ether, CBNM-C5
|
41935-92-6
|
No
|
Unknown
|
N/A
|
Yes
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Annex E: ACMD membership, at time of publication
Professor Judith Aldridge – Professor of Criminology, University of Manchester
Dr Kostas Agath – Consultant Psychiatrist (addictions), Change Grow Live Southwark
Professor Owen Bowden-Jones – Chair of ACMD, Consultant psychiatrist, Central North West London NHS Foundation Trust
Dr Anne Campbell – Lecturer in social work, Queens University Belfast
Mr Mohammed Fessal – Chief Pharmacist, Change Grow Live
Dr Emily Finch – Clinical Director of the Addictions Clinical Academic Group and a consultant psychiatrist for South London and Maudsley NHS Trust
Professor Sarah Galvani – Professor of Social Research and Substance Use, Manchester Metropolitan University
Lawrence Gibbons MBE – Head of Drug Threat (Intelligence Directorate, Commodities), National Crime Agency
Professor Graeme Henderson – Professor of Pharmacology, University of Bristol
Dr Hilary Hamnett – Senior Lecturer in Forensic Science, University of Lincoln
Dr Carole Hunter – Lead pharmacist at the alcohol and drug recovery services, NHS Greater Glasgow and Clyde
Professor Roger Knaggs – Associate Professor in Clinical Pharmacy Practice, University of Nottingham
Professor Tim Millar – Professor of Substance Use and Addiction Research Strategy Lead, University of Manchester
Mr Rob Phipps – Former Head of Health Development Policy Branch, Department of Health, Social Services and Public Safety, Northern Ireland
Harry Shapiro – Director, DrugWise
Dr Richard Stevenson – Emergency Medicine Consultant, Glasgow Royal Infirmary
Dr Paul Stokes – Reader in Mood Disorders and Psychopharmacology, King’s College London
Dr Ann Sullivan – Consultant physician in HIV and Sexual health and National co-lead for HIV Surveillance, Office for Health Improvement and Disparities
Professor Matthew Sutton – Chair in Health Economics, University of Manchester
Professor David Taylor – Professor of Psychopharmacology, King’s College, London and Director of Pharmacy and Pathology, South London and Maudsley NHS Foundation Trust
Professor Simon Thomas – Consultant physician and clinical pharmacologist, Newcastle Hospitals NHS Foundation Trust and Professor of Clinical Pharmacology and Therapeutics, Newcastle University
Dr Derek Tracy – Medical Director, West London NHS Trust
Ms Rosalie Weetman – Public Health Lead (Alcohol, Drugs and Tobacco), Derbyshire County Council - (currently on secondment to Office for Health Improvement and Disparities, as Programme Manager, Drug and Alcohol Improvement Support Team)
Dr David Wood – Consultant physician and clinical toxicologist, Guys and St Thomas’ NHS Trust
Annex F: membership of the ACMD’s consumer CBD products working group
This report has been produced by the Consumer CBD products Working Group, with support from the Advisory Council on the Misuse of Drugs (ACMD) Secretariat.
ACMD members
Lawrence Gibbons MBE – Head of Drug Threat (Intelligence Directorate, Commodities) at National Crime Agency
Professor Graeme Henderson – (Working Group Chair) Professor of Pharmacology, University of Bristol
Professor Roger Knaggs – Associate Professor in Clinical Pharmacy Practice, University of Nottingham
Co-opted members
Professor Stephen Alexander – Associate Professor of Molecular Pharmacology, University of Nottingham
Dr Tom Freeman – Director of the Addiction and Mental Health Group (AIM), University of Bath
Professor Simon Gibbons – Professor of Natural Product Chemistry, UEA School of Pharmacy
Ric Treble MBE – Formerly Chief Forensic Scientist at LGC Forensics
Dr Mike White – Forensic Chemist
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