
A constitutional challenge before the Supreme Court that seeks to expunge over 35% of active Brazilian grants, as well as more than 10,000 pending applications, is scheduled to be heard in April. See full article on the website.
• What changed: Update. A constitutional challenge before the Supreme Court that seeks to expunge over 35% of active Brazilian grants, as well as more than 10,000 pending applications, is scheduled to be heard in April.• Executive impact: Implication for executives: reassess life sciences & IP posture, especially decision ownership and evidence standards across Brazil operations. Article signal: See full article on the website.• Where to go deep: core operational process described, documentation/evidence retention, group-wide consistency controls.• Decisions to make: whether to adjust positions proactively to reduce disputes.• Next steps: run a focused gap assessment; update playbooks/policies; and circulate a 1‑page executive memo (options, tradeoffs, timeline, residual risk, owner).

This section gives quick answers to the most common questions about this insight. What changed, why it matters, and the practical next steps. If your situation needs tailored advice, contact the RNA Law team.
Q: What changed, and why is it not “business as usual”?A: reframes expectations in life sciences & IP. A constitutional challenge before the Supreme Court that seeks to expunge over 35% of active Brazilian grants, as well as more than 10,000 pending applications, is scheduled to be heard in April. Q: Which parts of the business will feel this first?A: Typically: the operational teams executing the rule (approvals/filings, product/service design, contracting) and the lines that must prove compliance under scrutiny. See full article on the website. Q: What is the main enforcement / dispute risk executives should manage?A: Misalignment between policy and execution plus weak documentation are the usual failure modes. Set ownership, define evidence standards, and ensure consistency across subsidiaries. Q: What should we do in the next 30–90 days?A: Commission a targeted gap assessment; prioritize high-impact processes; update playbooks and controls; and issue an executive memo with options, costs, timing, and residual risk. Align Legal, Compliance, Operations, and business owners on one plan.