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Clinical Trials and Good Clinical Practice

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Title: Clinical Trials and Good Clinical Practice


1
Clinical Trials and Good Clinical Practice
  • M Suzanne Stratton, PhD
  • Research Assistant Professor of Medicine
  • Director, Prostate Cancer Prevention Program
  • Co-Chair, Institutional Review Board

2
Lecture objectives
  • Become familiar with clinical trial types/phases
  • Gain familiarity with government oversight of
    clinical trial practices
  • Learn about what it takes to bring a drug from
    bench to bedside
  • Learn about Good Clinical Practice using the
    example of an ongoing Phase III trial testing
    selenium as a chemopreventive agent

3
What is a clinical trial?
  • A clinical trial (also clinical research) is a
    research study in human volunteers to answer
    specific health questions
  • Carefully conducted clinical trials are the
    fastest and safest way to find treatments that
    work in people and ways to improve health.
  • Interventional trials determine whether
    experimental treatments or new ways of using
    known therapies are safe and effective under
    controlled environments.
  • Observational trials address health issues in
    large groups of people or populations in natural
    settings.
  • What are the steps to drug approval or (in the
    clinic)?

4
Types of clinical trials
  • Treatment trials test experimental treatments,
    new combinations of drugs, or new approaches to
    surgery or radiation therapy.
  • Prevention trials look for better ways to prevent
    disease in people who have never had the disease
    or to prevent a disease from returning. These
    approaches may include medicines, vitamins,
    vaccines, minerals, or lifestyle changes.
  • Diagnostic trials are conducted to find better
    tests or procedures for diagnosing a particular
    disease or condition.
  • Screening trials test the best way to detect
    certain diseases or health conditions.
  • Quality of Life trials (or Supportive Care
    trials) explore ways to improve comfort and the
    quality of life for individuals with a chronic
    illness.

5
Interventional clinical trial phases
  • Clinical trials are conducted in phases. The
    trials at each phase have a different purpose and
    help scientists answer different questions
  • In Phase I trials, researchers test a
    experimental drug or treatment in a small group
    of people (20-80) for the first time to evaluate
    its safety, determine a safe dosage range, and
    identify side effects.
  • In Phase II trials, the experimental study drug
    or treatment is given to a larger group of people
    (100-300) to see if it is effective and to
    further evaluate its safety.
  • In Phase III trials, the experimental study drug
    or treatment is given to large groups of people
    (1,000-3,000) to confirm its effectiveness,
    monitor side effects, compare it to commonly used
    treatments, and collect information that will
    allow the experimental drug or treatment to be
    used safely.
  • In Phase IV trials, post marketing studies
    delineate additional information including the
    drug's risks, benefits, and optimal use.

6
Phase I Trials
  • First time in humans
  • May not be required if drug is well-known dietary
    supplement, e.g. Vitamin E or selenium for
    chemoprevention
  • Primary objective is safety
  • Pharmacokinetic data is often obtained
  • Small numbers of subjects
  • Usually healthy subjects (not in cancer)
  • Identifies likely dose range
  • Dose tolerance/escalation performed especially if
    dose is to be based on toxicity (cancer
    therapeutic drugs)

7
Phase I Trials (Continued)
  • Length several days to several weeks
  • Closely monitored
  • Special indications (Cancer, HIV)
  • Performed in subjects with condition for whom
    conventional therapies have failed or are not an
    option

8
Phase II Trials
  • Safety efficacy in select population
  • Larger than Phase I (50-200 subjects)
  • Usually no comparator arm
  • Chemoprevention Phase IIa
  • Dose-finding based on efficacy in small of
    patients
  • Chemoprevention Phase IIb
  • Efficacy study of one dose, often compared to
    placebo in larger of patients
  • Seeking maximum benefit with minimal side effects

9
Phase III Trials
  • Definitive studies, Multicenter,
  • Confirm safety efficacy in large population
    (100 2500 subjects/study)
  • Randomized comparison is drug vs. placebo (or
    current standard of care)
  • 2 pivotal studies generally required
  • Demonstrates reproducibility of results
  • NDA approval will be based on data from these
    studies

10
Phase III Trials (Continued)
  • Provides adequate basis for labeling
  • Therapeutic market advantages
  • Broad demographics required for generalization
  • Ethnic geographic representation required

11
Phase IV
  • Studies often compare a drug with other drugs
    already in the market
  • Studies are often designed to monitor a drug's
    long-term effectiveness and impact on a patient's
    quality of life
  • Many studies are designed to determine the
    cost-effectiveness of a drug therapy relative to
    other traditional and new therapies.

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13
Clinical trial oversight
  • FOOD AND DRUG ADMINISTRATION (FDA) The U.S.
    Department of Health and Human Services agency
    responsible for ensuring the safety and
    effectiveness of all drugs, biologics, vaccines,
    and medical devices
  • http//www.fda.gov/oc/gcp/default.htm
  • Center for Drug Evaluation and Research (CDER)
  • Assures safe drugs in the US

14
CDER History
  • 1902 - Harvey Wiley, the Chief Chemist of the
    Bureau of Chemistry, announced the formation of a
    Drug Laboratory within his organization.
  • 1906 Pure Food and Drugs Act (one-man operation)
    FDA
  • 1910 First challenge to enforce regulation when
    a bogus cancer drug was sold with false
    advertising
  • 1926 First standardized manufacturing testing
    in response to several deaths from impurities in
    anesthetics
  • 1937 FDA requirement of NDA
  • 1940s FDA assumed oversight for testing of
    penicillin, insulin and use labeling
  • 1966 Reformed organization
  • Office of New Drugs
  • Office of Drug Surveillance
  • Office of Medical Review
  • Bureau of Veterinary Medicine

15
CDER History
  • 1962 - Kefauver-Harris Amendments in response to
    the narrowly missed disaster of thalidomide
  • To comply with the new amendment, previously
    approved drugs were tested for efficacy
  • Of 3,443 products, 2,225 were found to be
    effective, 1,051 were found not effective (1984)
  • 1972 the results of the ongoing review were
    published in a monograph entitled the Code of
    Federal Regulations (CFR)
  • specifying the active ingredients, restrictions
    on formulations, and labeling by therapeutic
    category
  • 1980 Center for Drugs and Biologics was formed
  • 1987 Broken into two Centers
  • Center for Biologics Evaluation and Research
    (CBER)
  • Center for Drugs Evaluation and Research (CDER)
  • 1995 CDER broken into divisions by indication
    type

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Mike Leavitt
Last revised January 11, 2006
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20
Bench to Bedside
21
IND Application
  • There can be exemptions
  • Provides a means of advancing from pre-clinical
    to clinical testing
  • Required for unmarketed/unapproved products
  • May be required for already marketed products
  • Formal application to study an intervention in
    patients
  • Commercial - sponsor usually a pharmaceutical
    company
  • Non-commercial
  • investigator IND
  • treatment IND

22
IND contents
  • Should include the following data
  • Chemistry, manufacturing, and control information
  • animal pharmacology / toxicology
  • prior human use if applicable
  • clinical protocol(s) and investigator information
  • Other required documents
  • Cover Sheet (Form 1571 or 2)
  • Table of Contents
  • Introductory Statement and General
    Investigational Plan
  • Investigational Brochure
  • Informed Consent Form

23
IND review
  • 30-day review clock
  • Clinical hold
  • Safety concerns (e.g., known risk, inadequate
    information, Investigators Brochure (IB)
    misleading, Principal Investigator (PI) not
    qualified)
  • Design will not allow protocol objectives to be
    met
  • Teleconference with sponsor and division director
    about what is required to lift the hold

24
Bench to Bedside
Institutional Review Board (IRB) Human Subject
Protection Committee (HPSC)
25
Good Clinical Practice
  • Relationship between Sponsor and Investigators
  • Focuses on the investigator commitments signed
    for on the FDA Form 1572
  • Inspection and audits usually announced in
    advance
  • Inspections are either routine or directed
  • Compliance classifications
  • NAI No Action Indicated. In compliance
  • VAI Voluntary Action Indicated.
  • OAI Official Action Indicated. Serious
    non-compliance Warning Letter, study rejection,
    investigator disqualification

26
Sponsor investigator responsibilities
  • Selecting qualified investigators
  • Providing the investigators with the information
    they need to conduct an investigation properly
  • Ensuring proper monitoring of the investigation
  • Ensuring that the investigation is conducted in
    accordance with the general investigational plan
    and protocols
  • Ensuring that the FDA, IRB, and other
    investigators are promptly informed of
    significant new adverse events or risks with
    respect to the drug
  • Documentation
  • Updated versions of Investigators Brochure
  • Updated versions of the protocol
  • Keep investigators aware of any safety issues

27
Study conduct
  • Make sure that the study is conducted as outlined
    in protocol
  • Provide protocol amendments to IRB, FDA, and site
    investigators
  • Report adverse events to IRB, FDA and site
    investigators
  • Provide updated IB to IRB, FDA and site
    investigators
  • Monitor site investigators compliance with
    protocol
  • Remove non-compliant investigators
  • Maintain records
  • Permit FDA inspection
  • Dispose of unused drug
  • Provide reports to the FDA annual reports,
    safety reports, final study report, financial
    disclosure

28
Required safety reporting
  • Any AE associated with a drug that is both
    serious and unexpected
  • Any findings from tests in laboratory animals
    that suggests a significant risk for human use
    (e.g., positive mutagenicity, carcinogenicity, or
    tetratogenicity) within 15 days of initial
    notification
  • Any unexpected fatal or life-threatening AE that
    is associated with use of the drug within 7 days

29
New Drug Application (NDA)
  • Formal application to market a new product (drug)
  • Requirement since 1938 (FD C Act)
  • safety information
  • Kefauver-Harris Amendments 1962
  • evidence of efficacy and risk/benefit assessment
  • NDA classification
  • New Molecular Entity
  • New Indication for Already Marketed Drug
  • New Formulation
  • New Combination of Two or More Drugs
  • Others

30
Basis for NDA approval
  • Demonstration of efficacy with acceptable safety
    in adequate and well-controlled studies
  • Ability to generate product labeling that
  • Defines an appropriate patient population for
    treatment with the drug
  • Provides adequate information to enable safe and
    effective use of the drug
  • Accelerated approval
  • Commonly used endpoints for approval
  • Survival (the gold standard)
  • Prolongation in time to recurrence or
    disease-free survival (commonly used in adjuvant
    studies)
  • Prolongation in time to progression
  • Palliation (objective response with reduction in
    tumor-related symptoms)
  • Prevention of disease or surrogate endpoint

31
Why NDAs fail
  • Poor Drug Development
  • Inadequate early development
  • Study Design
  • Populations, endpoint definitions, analysis plan
  • Study Execution
  • Failure to maintain adequate records (dose, drug
    disposition, adverse events)
  • Failure to adhere to regulations

32
IND Safety Reporting Shared Responsibility
  • Sponsor
  • Collect submit all safety data in a timely
    manner
  • Must update IB
  • Must notify PIs and IRB
  • Initiate, audit, terminate clinical site
  • FDA
  • Review, analyze reports
  • Require changes to protocol or consent as needed
    to protect patient safety
  • PI
  • Evaluate and report toxicities
  • IRB
  • Independently review toxicities and recommend
    changes
  • Patient
  • Education, adequate informed consent
  • Repeat consent if necessary

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34
Phase III Study Testing Selenium as a
Chemopreventive Agent for Prostate Cancer in
High-Risk Men
How did we get up and running?How do we
run?What are some of the regulatory issues?How
will it end?
35
Why selenium?
  • Some cancer prevention studies work backwards
  • Preclinical studies were not done before study
    initiation
  • Mechanistic studies are now ongoing
  • In vitro
  • In vivo
  • This is now rare and preclinical studies are
    required for natural products (vitamins and
    supplements)

36
Selenium background
  • Discovered in 1817 by Jons Jakob
  • Named after Selene, the Greek Moon Goddess
  • Initial interest due to toxicity
  • Alkali disease, staggers, hoof deformaties
  • Prevented liver necrosis in rats
  • Livestock white muscle disease
  • Low intake associated with Kashin-Beck and
    Keshans disease
  • Deficiencies reported in New Zealand

37
Selenium and overall cancer risk
Epidemiological
Results
Se Measure
Population
Study
Shamberger and Frost, 1969
Inverse
Grain/forage Blood
USA/Canada
Schrauzer, 1976
Inverse
Diet
27 countries
Clark, 1985
Inverse
Forage crop
USA
Yu, 1985
Inverse
Forage crop
China
38
Epidemiological studies and prostate cancer
Results
Se Measure
n
Population
Study
0.30 (p trend 0.18)
Plasma
13
USA
Coates et al., 1988
1.15 (p trend 0.71)
Serum
51
Finland
Knekt et al., 1990
Inv (p trend 0.44)
Plasma
60
USA
Criqui et al., 1991
0.69 (0.03-2.5)
Se in water
27
Italy
Vinceti et al., 1995
0.37 (0.18-0.71)
Se suppl.
USA
Clark et al., 1996
13
1.27 (0.70-2.20) 0.84 (0.43-1.67)
Diet Self suppl.
317
Finland
Hartman et al., 1998
Relative Risk in highest versus lowest quartile.
39
Epidemiological studies and prostate cancer
Results
Se Measure
n
Population
Study
0.35 (0.16-0.78)
Toenail
181
USA
Yoshizawa et al., 1998
0.50 (p trend 0.02)
Serum
249
Japan-Am
Nomura et al., 2000
1.14 (0.46-2.83)
Toenail
83
Canada
Ghadirian et al., 2000
Relative Risk in highest versus lowest
quantile. Source Vinceti, M. et al., The
Epidemiology of Selenium and Human Cancer.
Tumori, 86 105-118, 2000.
40
Clinical studies with selenium
Results
Treatment
n
Population
Study
Chinese
0.87 (0.75-1.00)
81
50 mg
Blot et al., 1985
0.63 (0.47-0.85)
200 mg
USA
Clark et al., 1986
77
Relative Risk in selenium exposed versus
selenium unexposed.
IND submitted and approved
41
NPC Study Design
  • Double-blind
  • Randomized
  • Placebo-controlled
  • 1312 participants with a history of nonmelanoma
    skin cancer
  • Randomized to receive 200mg selenized yeast daily
    or placebo
  • Clinics in the Eastern U.S.

42
NPC Study Design
43
Summary of primary analyses
JAMA. 1996 Dec 25276(24)1957-63.
Smoking status
No apparent difference
44
Site specific cancer incidence
JAMA. 1996 Dec 25276(24)1957-63.
Adjusted
Unadjusted
Case No.
Site
p
(95 CI)
HR
p
(95 CI)
RR
Plac
Se
Prostate
0.005
0.28-0.80
0.48
0.009
0.29-0.88
0.51
42
22
0.26
0.44-1.24
0.74
0.18
0.40-1.21
0.70
35
25
Lung
0.057
0.21-1.02
0.46
0.055
0.19-1.08
0.46
19
9
Colorectal
Other car.
0.44
0.24-1.88
0.67
0.44
0.19-2.07
0.66
9
6
62 decrease in incidence in prostate cancer
45
Cumulative hazard ratio by treatment group
JAMA. 1996 Dec 25276(24)1957-63.
46
Prostate Cancer Incidence by Tertile of Baseline
Plasma Selenium
BJU Int. 2003 May91(7)608-12
Adjusted
Unadjusted
No. Cases
Baseline
p
p
(95 CI)
HR
(95 CI)
RR
Plac
Se
Se ng/ml
0.009
0.03-0.61
0.14
0.002
0.02-0.59
0.14
15
2
106.4
0.02
0.13-0.82
0.33
0.03
0.14-0.99
0.39
16
7
106.8-123.2
0.75
0.51-2.59
1.14
0.66
0.50-2.97
1.20
11
13
gt 123.2
RR indicates relative risk CI indicates
confidence interval. P values derived from log
rank tests. HR indicates hazard ratio. P values
from the Cox proportional hazard model adjusted
for gender, age (continuous) and smoking
(never, former, current) at randomization.
47
Prostate Cancer Incidence by Baseline PSA
BJU Int. 2003 May91(7)608-12
Adjusted
Unadjusted
No. Cases
Baseline
p
(95 CI)
HR
p
(95 CI)
RR
Plac
Se
PSA ng/ml
0.01
0.33
0.01
0.13-0.87
0.35
20
7
4.0
0.09
0.95
0.86
0.36-2.13
0.88
13
11
gt 4.0
RR indicates relative risk CI indicates
confidence interval. P values derived from log
rank tests. HR indicates hazard ratio. P
values from the Cox proportional hazard model
adjusted for gender, age (continuous) and
smoking (never, former, current) at randomization.
48
Summary of Prostate Data
  • Lower biopsy rate in the treatment group
  • Lower incidence in two lower tertiles of baseline
    selenium
  • Lower incidence with baseline PSA 4
  • Smoking status and age No effect

49
The Negative Biopsy Study (NBT)
Anticancer Drugs. 2003 Sep14(8)589-94
50
Final analyses of primary endpoint (SCC
recurrence)
JNCI 95(19). Oct 1, 2003.
p
Adjusted (95)
RR
Baseline Se (ng/mL)
0.42
0.62-1.22
0.87
105.2
105.3-122.0
1.49
1.05-2.12
0.03
gt 122.0
1.59
1.11-2.30
0.01
51
How did this affect trial conduct?
  • Before data were published
  • Contact the external Data Safety Monitoring Board
    (DSMB for recommendations )
  • Contact IRB
  • Contact NCI
  • DSMB dictated to add information into the
    Informed Consent Form (ICF)
  • Rreconsent patients
  • FDA report

52
Great Expectations
Drug Discovery 1-5 years 1 Million
Preclinical Dev 1-4 years 250k-850k
10,000 Compounds
250 Compounds
Phase I Clinical 1 year 100k 1 Million
15
IND Application
Phase II Clinical 1-2 years 10-100 Million
5 Compounds
Phase III 2-8 years 10-500 Million
Reality
New Drug Application (NDA)
1 New Drug
80
40
53
Topics for discussion
  • What are examples of patient compliance issues
    and how are they handled?
  • What are the differences between treatment and a
    clinical trial?
  • What are ways to change trial conduct to reduce
    risk if a new toxicity is discovered?
  • Why are studies blinded?
  • What are the disadvantages of cancer prevention
    trials with regard to trial conduct?
  • How can some of the disadvantages be circumvented?

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