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Bullboard - Stock Discussion Forum Traxion Sab De Cv Ord Shs GRPOF

Grupo Traxion SAB de CV is a Mexico-based company engaged in the transportation sector. The Company provides logistics services within eight business areas: Fright, including intermodal and multimodal services, door-to-door, national and cross-border distribution, among others; Integrated logistics, including logistics management, aerial and maritime services and custom transportation support... see more

PINL:GRPOF - Post Discussion

Traxion Sab De Cv Ord Shs > GVT to re classify Phyto Cannabanoids Oct 17th
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Post by Ripsanddips on Jul 14, 2018 9:12am

GVT to re classify Phyto Cannabanoids Oct 17th

https://www.canada.ca/en/health-canada/services/drugs-health-products/drug-products/prescription-drug-list/notices-changes/notice-intent-cannabis.html

H
ealth Canada is adding all photo cannabanoids other than hemp
derived  CBD to the prescription drug list 

what this  means is that moving forward Cannabis for medical purposes will
be considered a prescription drug .

They even acknowledge that what they allowed in the past “medical cannabis “ will no longer be treated the same way moving forward 

this all comes into effect after oct 17th

All he Pins in the world will not matter without a Din !



see below

The purpose of this Notice of Intent to Amend is to announce that Health Canada will add phytocannabinoids to the Human and Veterinary Prescription Drug Lists (PDL). This addition will be effective upon the coming into force of the Cannabis Act.

The listing will read:

Drugs containing any of the following: Including (but not limited to) Qualifier Effective Date
(yyyy-mm-dd)
Phytocannabinoids produced by, or found in, the cannabis plant and substances that are duplicates of such phytocannabinoids.   except:
  1. derivatives of cannabis as defined in subsection 2(1) of the Cannabis Act that are exempt from the application of the Cannabis Act under the Industrial Hemp Regulations and that do not contain an isolated or concentrated phytocannabinoid or a synthetic duplicate of that phytocannabinoid, or
  2. anything referred to in Schedule 2 to the Cannabis Act that contains no more than 10 µg/g delta-9-tetrahydrocannabinol and that does not contain an isolated or concentrated phytocannabinoid or a synthetic duplicate of that phytocannabinoid.
Upon the coming into force of the Cannabis Act and Regulations. 

Rationale:

Clinical evidence supporting the safety and efficacy of cannabis and its constituents for therapeutic purposes is currently insufficient to set acceptable dosage or other thresholds for non-prescription use. While Health Canada has previously authorized health products containing cannabis, there remains significant scientific uncertainty regarding the pharmacological actions, therapeutic effectiveness and safety of the majority of phytocannabinoids. The cannabis-based drug products which have been authorized by Health Canada have been studied, authorized and used in specific conditions. While these authorized products have contributed to the global body of knowledge concerning the safety and efficacy of cannabis-based therapies, the presence of scientific uncertainty and limited market experience gives rise to the need for a precautionary approach. Listing all phytocannabinoids on the PDL addresses this uncertainty by allowing healthcare practitioners to monitor and manage any unanticipated effects.

When added, all phytocannabinoids will remain listed on the PDL until there is sufficient scientific evidence (e.g., as demonstrated through a submission to Health Canada) to change the prescription status of a particular phytocannabinoid when used in specific conditions. Pursuant to section C.01.040.3 of the Food and Drug Regulations, Health Canada considers several criteria when deciding whether a health product would be required to be sold as a prescription drug. Additional information on how Health Canada determines prescription status (or non-prescription status) is available in the Guidance Document: Determining Prescription Status for Human and Veterinary Drugs.

Should you have any questions on this amendment to the PDL please contact:

Health Canada
Prescription Drug Status Committee
Address Locator 3102C3
Holland Cross, Tower B
1600 Scott Street
Ottawa, Ontario
K1A 0K9

E-mail: hc.hpfb_cannabis_dgpsa.sc@canada.ca

Comment by Tameraq2 on Jul 14, 2018 2:44pm
Thank you Ripsanddip. That's GREAT news for tetra.
Comment by PCR1917 on Jul 14, 2018 2:45pm
Thanks for the link. I think it validates the last news release. Good for us.
Comment by Davesnothere on Jul 14, 2018 6:28pm
This is HUGE for Tetra. HUGE like Trump would say. $$$$ Only HUGE-ER ! This is almost a dream come true, except that I never dreamed of it. Maybe TTGirl dreamed of it ? This isl like Tetra changing the Rules of the game DURING the game. Like Trump has done with NAFTA and tarrifs only better for Tetra shareholders.  I cannot overstate the possible significance of this amendment. HUGE  ...more  
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