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NCMD Medical Device Forum May 16, 2005

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Title: NCMD Medical Device Forum May 16, 2005


1
NCMD Medical Device ForumMay 16, 2005
  • Combination Products FDA Regulatory Update
  • Patricia Y. Love, MD, MBA
  • Associate Director
  • Office of Combination Products

2
What Are Combination Products?
  • Combinations of differently regulated products
  • Drug-device
  • Device-biologic
  • Drug-biologic
  • Drug-device-biologic

3
Combination Products Vary
  • They can be
  • Physically or chemically combined into one
    entity 21 CFR 3.2(e)(1)
  • Co-packaged 21 CFR 3.2 (e)(2)
  • Separately provided cross-labeled products 21
    CFR 3.2(e)(3)

4
Office of Combination Products
  • Assignment of combination products
  • Ensure timely and effective premarket review
  • Consistent and appropriate postmarket regulation
  • Dispute resolution (timeliness vs. substance)
  • Review/update guidance, agreements, practices
  • Report to Congress
  • Resource to sponsors and review staff

P. L. 107-250 enacted 10-26-02 office
established 12-24-02
5
Critical Regulatory Challenge
  • Making combination product regulation
  • Appropriate
  • Consistent
  • Clear
  • Predictable

6
Topics Activities Approaches
  • Classification Assignment
  • Internal process Dispute resolution
  • User Fee
  • GMP
  • Other Activities
  • Number of Marketing applications
  • Safety reporting
  • Mutually conforming labeling
  • Next steps

7
  • Classification and Assignment

8
Classification and Assignment
  • Office of Combination Products
  • Determines the product classification
  • Drug, device, biological product, or combination
  • Determines the primary mode of action
  • Identifies lead center
  • Identifies premarket regulatory pathway
  • Provides preliminary information on postmarket
    authorities

9
Assignment Determination Process
  • Formal
  • or
  • Informal

10
Formal Assignment
  • Request for designation (RFD), 21 CFR 3.7
  • complex issues
  • binding decisions
  • 60-day clock sometimes
    tight

11
OCP Formal Classification Assignments
10/1/03 9/30/04
12
  • Challenge
  • What is PMOA?
  • No definition

13
PMOA Proposed Rule May 7, 2004 Federal Register
  • Defined PMOA
  • Set forth criteria for determining the PMOA in
    the face of uncertainty
  • Provided an assignment algorithm

14
PMOA Proposed Rule May 7, 2004 Federal
Register, contd
  • Mode of Action the means by which a product
    achieves a therapeutic effect
  • Therapeutic any effect / action intended to
    diagnose, cure, mitigate, treat, or prevent
    disease, or affect the structure or any function
    of the body
  • Three modes of action device, drug, biological
    product,
  • Combination products ? usually more than one mode
    of action

15
PMOA Proposed Rule May 7, 2004 Federal
Register, contd
  • Primary Mode of Action
  • The single mode of action of a combination
    product that provides the most important
    therapeutic action of the combination product.

16
PMOA Three Hypothetical Examples
  • Vision-correcting contact lens with drug to make
    lens more comfortable
  • Contact lens as drug delivery system
  • Vision-correcting contact lens with concurrent
    delivery of glaucoma drug
  • (Example in the proposed rule)

17
PMOA Proposed Rule May 7, 2004 Federal
Register, contd
  • Algorithm
  • PMOA determinable ? assign there stop
  • Most important therapeutic action uncertain ?
  • Is there an agency component with CPs that raise
    similar SE questions for CP as a whole?
  • Yes, then ? assign there stop
  • No, then
  • Which agency component has the most expertise
    related to the most significant SE questions for
    the CP? ? Assign there stop

18
PMOA Proposed Rule May 7, 2004 Federal
Register contd
  • Comment period closed August 2004
  • Docket comments were generally favorable
  • Requested clarifications (precedents, intended
    use, intercenter agreements,regulatory/ statutory
    implications, marketing applications)
  • More examples
  • Status expect final publication soon

19
Challenges Assignment
  • RFDs are voluntary . . . we dont see all
    products for assignment . . . Industry / staff
    preferences may not fit with what the law allows
  • Informal assignments For many products
  • Phone / other meetings (pre-IND/IDE)
  • Transparency often is challenging, but
  • Jurisdictional updates and 140 published
    determinations (OCP website)

20
  • Once assigned, then what?

21
Different Regulatory Environments
CDER
CBER
CDRH
22
Once assigned, then what contd?
  • Dont have specific regulatory schemes for
    combination products per se . . .
  • Currently work within existing statutory
    framework
  • While considering what needs new regulations

23
  • Premarket review

24
Premarket Review
  • Statute OCP to ensure timely and effective
    premarket review by overseeing timeliness and by
    coordinating reviews involving more than one
    agency Center

25
Review Process
  • SOP for intercenter consultation process
  • Consults count same priority as assigned
    products
  • Team agreement on timing
  • http//www.fda.gov/oc/combination/consultative.htm
    l
  • Active monitoring/facilitation web-enabled
    database (gt 200 in FY 04)
  • Tracking and Reporting of Other Combinations
  • Check classifications of premarket submissions

26
Combination Products Process Evolution
  • Establish and clarify regulatory pathways
  • Reviewer tools and training
  • Establish and facilitate intercenter working
    groups and internal MOUs
  • Available informally and formally to both
    sponsors and review staff
  • Facilitate meetings, consider broad class or
    specific CP concerns, etc.

27
What if you disagree or there is a glitch in
the process?
  • We work to resolve disputes by
  • Informal and formal meetings
  • Phone Calls
  • Email
  • Dispute Resolution Guidance

28
Combination Product Dispute Resolution Guidance,
Final 2005
  • Combination Products Timeliness of Premarket
    Reviews Dispute Resolution Guidance
  • www.fda.gov/oc/combination/dispute.pdf
  • Consideration of PDUFA / MDUFMA / other
    performance goals
  • Procedural/process for sending formal disputes to
    OCP

29
  • Postmarket regulation

30
Postmarket regulatory challenges
  • Statute OCP to ensure consistent and appropriate
    postmarket regulation
  • Good manufacturing practice
  • Number of marketing applications
  • Safety reporting requirements

31
Manufacturing Control Challenges
  • Manufacturing control regulations are associated
    with a range of practices, procedures, policies.
  • QS regulations PMA, HDE, 510(k)
  • CGMP regulations NDA
  • Biologic product regulations BLA

32
Good Manufacturing Practice Guidance Draft
September 29, 2004
  • CGMP and QS similar but tailored to the product
    for which they were designed.
  • Compliance with the regulations for the
    constituent
  • Each constituent part is subject to its governing
    GMP regulations before combination.
  • During and after combination (21 CFR 3.2(e)(1) or
    (e)(2)), both regulations apply.
  • Compliance with both regulations can generally be
    achieved using either (e.g., by using the system
    in place at a facility) Parallel systems not
    needed.

33
Good Manufacturing Practice Guidance Draft,
Contd
  • Draft guidance lists key provisions to consider
    in ensuring compliance with both regulations
  • Other provisions may be appropriate to consider,
    depending on the combination product

34
Under Part 820 Operating Manufacturing Control
System Key Provisions to Consider
35
Under Part 210/211 Operating Manufacturing
Control System Key Provisions to Consider
36
Good Manufacturing Practice Guidance Draft,
Contd
  • Communication is critical
  • Early discussion of manufacturers implementation
    proposals as soon as possible (e.g., pre-IND/IDE)
  • Consider the risks of the combination product,
    its technology, and anticipated post approval
    changes

37
Good Manufacturing Practice Guidance Draft,
Contd
  • Communication would include
  • Manufacturers of constituent parts
  • FDA intercenter team
  • Product reviewers
  • GMP/QS experts
  • Field inspectors
  • OCP

38
Good Manufacturing Practice Guidance Draft,
Contd
  • Status comment period closed December 3, 2004
  • http//www.fda.gov/oc/combination/default.htm
  • Docket comments
  • Generally favorable
  • Requested clarification of terminology, technical
    differences, examples, etc.
  • Inspections guidance information, FDA training of
    inspectors

39
  • Marketing Applications
  • for
  • Combination Products

40
Combination Product Marketing Applications
  • Number and type of marketing applications
  • User fee implications

41
Application User Fee Guidance Final April 2005
  • Single marketing application fee associated with
    that type of application waivers / reductions
    under PDUFA/MDUFMA
  • For innovative combination products with two
    applications PDUFA barrier to innovation waiver.
  • When FDA requires 2 applications, we expect to
    reduce the fee regardless of financial status
  • When sponsor submits 2 applications, the barrier
    to combination product innovation will be
    considered
  • MDUFMA and PDUFA applications reduce PDUFA fee
    by amount of MDUFMA fee
  • Two PDUFA applications reduce each PDUFA fee by
    half
  • http//www.fda.gov/oc/combination/default.htm

42
Combination Product Users Fees, contd
  • Eligibility factors considered for innovative
    combination product waiver
  • CP as a whole is innovative (e.g., unmet medical
    need, one constituent is NME, priority/fast-track/
    expedited review status)
  • Applications only for CP use together
  • FDA requiring 2 marketing applications
  • Doesnt meet small business waiver

43
Number of Marketing Applications
  • Developing guidance anticipates the following
  • One application will be sufficient for most
    combination products e.g.,
  • Chemically, physically, or otherwise combined
    into a single entity and most co-packages
  • Two applications may be
  • Required by FDA in some circumstances
  • Requested by industry in some circumstances
  • Nearing completion for publication and public
    comment

44
  • Other ongoing activities

45
Ongoing activitySafety Reporting - Postmarket
  • Several regulatory requirements to reconcile
  • 314.80, Adverse Drug Experience (ADE)
  • 600.80, Biological product adverse experience
  • 606.170, Blood component adverse experience
  • 600.81, Vaccine adverse events (VAERS)
  • 803, Medical Device Reporting (MDR)
  • IT and database issues to resolve
  • Draft nearing completion for public comment

46
Ongoing activity Mutually Conforming Labeling
  • DIA-FDA Workshop, May 10th
  • Focused hypothetical company A drug marketed,
    company B device for use with A
  • Public health legal implications of requiring
    vs. not requiring mutually conforming labeling
  • FR notice and slides available at
    http//www.fda.gov/oc/combination/

47
More to do?
  • Publish and finalize guidance/regulations in
    process
  • Other priorities include
  • Post-approval changes
  • Submission format content
  • Chemical action
  • Ongoing evaluation of impact on existing
    policies/practices
  • Continued public stakeholder input at meetings

48
Recommendations
  • Pathway evolution clarifications one size
    doesnt fit all CPs
  • Focus on the additive/modifying effect of the new
    constituent
  • Consider GMPs, postmarket issues, labeling,
    expected changes throughout development
  • Early discussions with both centers and all
    critical manufacturers at the table

49
To Contact Us
  • Office of Combination Products
  • 15800 Crabbs Branch Way (HFG-3)
  • Rockville, MD 20855
  • (301) 427-1934
  • combination_at_fda.gov
  • http//www.fda.gov/oc/combination/
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