Δ8-THC: Legal Status, Widespread Availability, and Safety Concerns

Shanna Babalonis, Wesley M. Raup-Konsavage, Peter D. Akpunonu, Agnes Balla, Kent E. Vrana

Research output: Contribution to journalReview articlepeer-review

68 Scopus citations

Abstract

Delta-8-tetrahydrocannabinol (Δ8-THC) is chemically and functionally similar to delta-9-tetrahydrocannabinol (Δ9-THC) (the primary psychoactive cannabinoid in the cannabis plant) and is currently widely available "over-the-counter"across the United States due to unregulated sales. However, these products have a questionable legal status based on current U.S. laws, as Δ8-THC is considered a Schedule I drug by the federal Drug Enforcement Administration (DEA). Despite this designation, Δ8-THC products (e.g., gummies, edibles, oils, and vapes) are largely unregulated and are sold in gas stations, online, and other marketplaces (most often outside of authorized dispensaries) and are marketed as legal hemp products. This problem arises from a purposeful misinterpretation of the 2018 Farm Bill, which some interpret as legalization of non-Δ9-THC cannabinoids (notably, Δ8-THC). The widespread availability of Δ8-THC products has not been without health consequences. The lack of regulation means that there are no required warning labels or packaging protections in place and no mandated laboratory analysis to assure label accuracy or product purity. As Δ8-THC produces physiological and toxicological effects that are similar to Δ9-THC, high-dose exposure of Δ8-THC (e.g., consuming a full bag of Δ8-THC gummies) has resulted in recent reports of medical emergencies, including calls to poison control centers and presentations to emergency departments, with some pediatric patients arriving unconscious and unresponsive. Several states and regulatory agencies have called for legislation to regulate Δ8-THC, but little progress has occurred nationally thus far.

Original languageEnglish
Pages (from-to)362-365
Number of pages4
JournalCannabis and Cannabinoid Research
Volume6
Issue number5
DOIs
StatePublished - Oct 2021

Bibliographical note

Publisher Copyright:
© 2021, Mary Ann Liebert, Inc., publishers.

Funding

This study was supported by National Institute on Drug Abuse grants R21 DA045101 (S.B.) and R01 DA045700 (S.B.), the Penn State University Elliot S. Vesell Professorship (K.E.V.) and the Pennsylvania-designated Medical Marijuana Academic Clinical Research Center at Penn State (K.E.V.).

FundersFunder number
Author National Institute on Drug Abuse DA031791 Mark J Ferris National Institute on Drug Abuse DA006634 Mark J Ferris National Institute on Alcohol Abuse and Alcoholism AA026117 Mark J Ferris National Institute on Alcohol Abuse and Alcoholism AA028162 Elizabeth G Pitts National Institute of General Medical Sciences GM102773 Elizabeth G Pitts Peter McManus Charitable Trust Mark J Ferris National Institute on Drug AbuseR01DA045700, R21 DA045101
Author National Institute on Drug Abuse DA031791 Mark J Ferris National Institute on Drug Abuse DA006634 Mark J Ferris National Institute on Alcohol Abuse and Alcoholism AA026117 Mark J Ferris National Institute on Alcohol Abuse and Alcoholism AA028162 Elizabeth G Pitts National Institute of General Medical Sciences GM102773 Elizabeth G Pitts Peter McManus Charitable Trust Mark J Ferris National Institute on Drug Abuse
The Pennsylvania State University

    Keywords

    • Drug Enforcement Agency
    • Schedule I
    • United States Farm Bill
    • delta-8-tetrahydrocannabinol
    • regulatory
    • Δ-THC

    ASJC Scopus subject areas

    • Pharmacology
    • Complementary and alternative medicine
    • Pharmacology (medical)

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