I am highlighting this opportunity to ask you to submit a public comment in support of TRT de-scheduling by 2/9/2026.
Click here to add your comment:
Federal Register :: Request Access
Key Points to Include in Public Comments:
When submitting comments, individuals should emphasize that testosterone replacement therapy for documented hypogonadism is a legitimate medical treatment—not performance enhancement—and that the 1990 classification was a response to athletic doping that never intended to restrict men with hormone deficiencies. Comments should highlight that the TRAVERSE trial (the largest randomized controlled trial on TRT) demonstrated cardiovascular safety, that modern evidence has debunked the prostate cancer myth, and that there is no evidence of dependence or euphoria at physiologic doses. Personal stories about barriers to care are powerful: difficulty finding physicians willing to prescribe, the burden of 6-month prescription limits and 5-refill maximums, and insurance denials. Commenters should note the inconsistency that estrogen is not a controlled substance while testosterone is, and that the current classification has paradoxically driven patients toward less regulated care settings rather than reducing misuse. Finally, emphasize that untreated hypogonadism carries serious health consequences including increased mortality, metabolic disease, osteoporosis, and depression—and that policy should reflect the current scientific evidence supporting TRT's safety and efficacy when properly prescribed and monitored.
EXAMPLE:
As someone whose life has been transformed by testosterone replacement therapy, I urge the FDA/DEA to reconsider testosterone's Schedule III classification. Before TRT, I struggled with crushing fatigue, brain fog, depression, loss of muscle mass, and a non-existent sex drive—symptoms that made me feel like a shell of myself. My doctor diagnosed me with low testosterone, a legitimate medical condition, and TRT gave me my life back.
But getting and staying on this treatment has been unnecessarily difficult. I have to get a new prescription every month, schedule extra doctor visits just for paperwork, and deal with pharmacies that treat me like I'm doing something wrong. Some doctors flat-out refused to prescribe it because they didn't want the hassle of DEA oversight. I'm not an athlete trying to cheat—I'm a regular guy trying to feel normal and stay healthy.
The science is clear: the largest clinical trial ever conducted on TRT (the TRAVERSE study) showed it doesn't cause heart attacks, and it doesn't cause prostate cancer. Meanwhile, untreated low testosterone increases my risk of diabetes, osteoporosis, heart disease, and early death. It makes no sense that my wife's estrogen prescription has no restrictions while I jump through hoops for testosterone.
This outdated 1990 law was meant to stop steroid abuse in sports—not punish men like me who need hormone replacement to live healthy lives. Please update the policy to match the evidence. Remove testosterone from Schedule III so patients and doctors can focus on health, not bureaucracy.
More info : Dr. Mohit Khera on why TRT should not be a Schedule III controlled substance - Excel Male Health Forum
BACKGROUND:
The Controversy of Schedule III Classification
Testosterone is currently classified as a Schedule III controlled substance under the Anabolic Steroids Control Act of 1990, placing it in the same category as ketamine. Experts argued this classification is a relic of 1980s athletic doping scandals and lacks scientific justification for the average patient.
Barriers Created by Scheduling
• Provider Hesitancy: Mandatory tracking and regulatory oversight discourage primary care physicians from screening for or prescribing testosterone.
• Pharmacy Limitations: Some pharmacies limit the volume of Schedule III drugs they carry, creating supply barriers.
Clinical Utility and Public Health Perspectives
The panel positioned testosterone deficiency as a significant public health issue rather than a niche "lifestyle" concern. Dr. Helen L. Bernie advocated for serum testosterone to be treated as a "powerful yet underutilized biomarker" for men's health.
• Prevalence: Approximately 5.6% of men aged 30 to 79 suffer from symptomatic low testosterone.
• Preventative Potential: Low testosterone is often linked to cardiovascular disease, diabetes, and osteoporosis. Routine screening could identify men at risk for premature death.
• The "Mortality Gap": Panelists argued that closing the mortality gap between men and women requires policy changes that allow for broader screening and earlier intervention.
Expert Panel Recommendations
The panel reached a consensus on several necessary regulatory reforms to modernize the oversight of testosterone therapy:
The FDA is currently seeking further public information and comments on these topics through February 9, 2026, to inform future regulatory actions.
Click here to add your comment:
Federal Register :: Request Access
Key Points to Include in Public Comments:
When submitting comments, individuals should emphasize that testosterone replacement therapy for documented hypogonadism is a legitimate medical treatment—not performance enhancement—and that the 1990 classification was a response to athletic doping that never intended to restrict men with hormone deficiencies. Comments should highlight that the TRAVERSE trial (the largest randomized controlled trial on TRT) demonstrated cardiovascular safety, that modern evidence has debunked the prostate cancer myth, and that there is no evidence of dependence or euphoria at physiologic doses. Personal stories about barriers to care are powerful: difficulty finding physicians willing to prescribe, the burden of 6-month prescription limits and 5-refill maximums, and insurance denials. Commenters should note the inconsistency that estrogen is not a controlled substance while testosterone is, and that the current classification has paradoxically driven patients toward less regulated care settings rather than reducing misuse. Finally, emphasize that untreated hypogonadism carries serious health consequences including increased mortality, metabolic disease, osteoporosis, and depression—and that policy should reflect the current scientific evidence supporting TRT's safety and efficacy when properly prescribed and monitored.
EXAMPLE:
As someone whose life has been transformed by testosterone replacement therapy, I urge the FDA/DEA to reconsider testosterone's Schedule III classification. Before TRT, I struggled with crushing fatigue, brain fog, depression, loss of muscle mass, and a non-existent sex drive—symptoms that made me feel like a shell of myself. My doctor diagnosed me with low testosterone, a legitimate medical condition, and TRT gave me my life back.
But getting and staying on this treatment has been unnecessarily difficult. I have to get a new prescription every month, schedule extra doctor visits just for paperwork, and deal with pharmacies that treat me like I'm doing something wrong. Some doctors flat-out refused to prescribe it because they didn't want the hassle of DEA oversight. I'm not an athlete trying to cheat—I'm a regular guy trying to feel normal and stay healthy.
The science is clear: the largest clinical trial ever conducted on TRT (the TRAVERSE study) showed it doesn't cause heart attacks, and it doesn't cause prostate cancer. Meanwhile, untreated low testosterone increases my risk of diabetes, osteoporosis, heart disease, and early death. It makes no sense that my wife's estrogen prescription has no restrictions while I jump through hoops for testosterone.
This outdated 1990 law was meant to stop steroid abuse in sports—not punish men like me who need hormone replacement to live healthy lives. Please update the policy to match the evidence. Remove testosterone from Schedule III so patients and doctors can focus on health, not bureaucracy.
More info : Dr. Mohit Khera on why TRT should not be a Schedule III controlled substance - Excel Male Health Forum
BACKGROUND:
The Controversy of Schedule III Classification
Testosterone is currently classified as a Schedule III controlled substance under the Anabolic Steroids Control Act of 1990, placing it in the same category as ketamine. Experts argued this classification is a relic of 1980s athletic doping scandals and lacks scientific justification for the average patient.
Barriers Created by Scheduling
• Provider Hesitancy: Mandatory tracking and regulatory oversight discourage primary care physicians from screening for or prescribing testosterone.
• Pharmacy Limitations: Some pharmacies limit the volume of Schedule III drugs they carry, creating supply barriers.
Clinical Utility and Public Health Perspectives
The panel positioned testosterone deficiency as a significant public health issue rather than a niche "lifestyle" concern. Dr. Helen L. Bernie advocated for serum testosterone to be treated as a "powerful yet underutilized biomarker" for men's health.
• Prevalence: Approximately 5.6% of men aged 30 to 79 suffer from symptomatic low testosterone.
• Preventative Potential: Low testosterone is often linked to cardiovascular disease, diabetes, and osteoporosis. Routine screening could identify men at risk for premature death.
• The "Mortality Gap": Panelists argued that closing the mortality gap between men and women requires policy changes that allow for broader screening and earlier intervention.
Expert Panel Recommendations
The panel reached a consensus on several necessary regulatory reforms to modernize the oversight of testosterone therapy:
| Recommendation | Objective |
|---|---|
| Label Revision | Broaden indications to include all men with signs/symptoms of deficiency and low serum levels. |
| Declassification | Remove testosterone from Schedule III status to reduce prescriber barriers. |
| Guideline Alignment | Harmonize FDA labels with American Urological Association and Endocrine Society standards. |
| Contraindication Removal | Eliminate prostate cancer contraindications that are not supported by contemporary evidence. |
| Enhanced Education | Improve provider and patient education regarding the actual risks and benefits of therapy. |
The FDA is currently seeking further public information and comments on these topics through February 9, 2026, to inform future regulatory actions.
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