Title: Basic Requirement of Law and Regulations
1Basic Requirement of Law and Regulations
- Robert J. Temple, M.D.
- Associate Director for Medical Policy
- Center for Drug Evaluation and Research
- U.S. Food and Drug Administration
UNC School of Public Health March 6, 2008
2Law, Regulations, Guidance
- Law and History
- Critical Regulations
- Critical Guidance
3The Ages of Drug Development and Drug Regulation
- Age of Safety - 1938
- Age of Effectiveness - 1962
- Age of Individualization and Dose-Response - from
early 1980s - AGES CUMULATE AND CONTINUE TO DEVELOP AS WE LEARN
4The Ages of Drug Development and Drug Regulations
- Pre-History (pre-1938)
- FDA existed (1906) but could only respond to
problems. There was complete freedom to market
no requirement for testing or approval
Government could seek to remove dangerous or
misbranded products. There were some disasters - DNP - weight loss drug, caused thousands of
cataracts, enucleations in 1930s - 1937 - Elixir sulfanilamide killed over 100
children diethylene glycol (anti-freezes) - no
animal tests, led to - The Age of Safety the Federal Food, Drug and
Cosmetic Act of 1938
5The Food, Drug and Cosmetic Act of 1938
- Required
- 1. Pre-market notification. Marketing required
an approved new drug application (NDA), but the
NDA became effective if FDA did not object time
could be extended. Reflected a strong
expectation that there would be approval
6The Food, Drug and Cosmetic Act of 1938
- 2. Required a demonstration of safety. The
- application could be refused if
- (a) Investigations did not include all tests
reasonably applicable to show whether drug is
safe when used under proposed labeling - (b) Results of tests show unsafe or do not show
that it is safe - (c) Information submitted or any other
information available are - insufficient to determine whether safe
- The safety requirements of 1938 are identical to
current requirements. Note how broad and
possibly subject they are
7The Food, Drug and Cosmetic Act of 1938
- (d) Labeling is false or misleading in any
particular - The safety requirements of 1938 are identical to
current requirements. Note how broad and
possibly subjective they are
8The Age of Effectiveness
- People learning and practicing medicine today
cannot really imagine what the basis of medicine
was like even in the 1950s and 1960s. Apart
from obvious things (removing an appendix, curing
infections, Lasix), it was hard to say what we
really knew - Controlled trials were hardly ever seen
effectiveness was rarely convincingly established - Drug labeling was fantasy (Early 1960s PDR
listed 50 treatments for alcoholism) - Outcome trials basically didnt exist till VA
studies in HT (1967), UGDP (late 1950s) - Statistical inference was primitive once you left
a few special places (NIH, mostly, and perhaps
analgesia) - And then it all changed, beginning in 1962
9The Age of Effectiveness - 1962
- Why thalidomide (a safety problem) led to a
change in how to recognize effectiveness is not
obvious, but it put the FDC Act in play and
then anything can happen. Actually, the 1962 Act
made at least 3 important changes - 1. FDA had to give positive approval before a
drug could be marketed - 2. A meaningful requirement to study drugs under
an IND and explicit requirement for informed
consent - 3. The effectiveness requirement
- It also required review of all the drugs approved
1938-62 to determine effectiveness. A huge, but
successful, effort started by a contract with the
NAS/NRC, leading to withdrawal of about one third
of existing drugs and many claims for the ones
that remained
10The Effectiveness Requirement
- An NDA can be rejected if
- There is a lack of substantial evidence that the
drug will have the effect it purports or is
represented to have under proposed labeled
conditions of use (this is what an applicant must
show) - The Law then goes on to describe what substantial
evidence is. It is evidence consisting of
adequate and well-controlled investigations,
including clinical investigationson the basis of
which it could be concluded that the drug will
have the effect it is represented to have under
the conditions of use proposed in labeling (this
is how the applicant must show effectiveness)
11The Effectiveness Requirement
- It was the only new requirement for approval in
1962 - It was not the effectiveness requirement that was
radical (safe for intended use could alone imply
a risk/benefit analysis, i.e., need for evidence
of benefit) it was the need for adequate and
well-controlled studies that changed everything,
all of medical science, really - These are the only basis for approval
- Note the plural. Agency, supported by
legislative history, - interpreted this as requiring more than
one controlled trial - (modified by FDAMA 1997 to allow one study
in some cases) - No relative efficacy (unless inferior
effectiveness leads to lack of - safety)
- Effect must be clinically meaningful (added by
Court) - Must provide all relevant information. NOT
SUMMARIES
12The Effectiveness Requirement (cont.)
- It was really an amazing stroke
- In those days (not any more), laws tended to be
general, leaving details to the agencies with
expertise. That philosophy would lead to the
substantial evidence requirement, not further
defined - For Congress to go further and say what the only
kind of acceptable study could be was remarkable - Actually a very clever trade-off. Substantial,
legally, is a low standard (between a scintilla
and a preponderance) - But adding a need for two AWC studies turns a
low standard into quite a high one especially
with the p lt 0.05 (two-sided) that emerged
13Labeling
- Labeling must bear adequate directions for use
and may not be false or misleading - Very critical to support requirements for
dose-response and individualization information
(although they also relate to safety and
effectiveness) - That is the totality of the legally mandated
clinical requirements. The rest is regulation
and, even more, guidance and practice
14The Effectiveness Requirement (cont.)
- In 1962, of course, and really until 1970 or so,
we at FDA had only a poor idea of what a
well-controlled study was, and things we take for
granted now were not at all known. But we
learned for example, about - 1. Interim looks at data, multiplicity
- 2. Counting all patients, cause-specific
mortality - 3. Interpretation of active control
non-inferiority trials - 4. Good dose response
15Counting All Patients
- In 1980 the need to account for all patients in a
trial had never been an issue. Then came the
Anturane Reinfarction Trial, a study, supported
in the NEJM by two Dr. Braunwald editorials, that
seemed to show a survival benefit in post-AMI
patients treated with sulfinpyrazone (Anturane),
an anti-platelet drug. Our analysis taught us a
lot about cause-specific mortality, multiple
endpoints, unplanned 6 month subset analyses and
complete follow-up Temple R, Pledger G. The
FDA's Critique of the Anturane Reinfarction
Trial. N Engl J Med 3031488-1492, 1980
16Anturane Reinfarction Trial (ART)
- Randomized comparison of sulfinpyrazone
(Anturane) and placebo in 1500 post infarction
(25-35 days) patients. - Distinguished trialists
- An ambitious industry-funded trial
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19Ineligible Patients
- It was not possible to see this from published
reports, but 9 patients who had died were
excluded from the results (8 Anturane, one
placebo) for being ineligible or poor
compliance (pills found in their room). When you
put back exclusions, there was no documented
effect.
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21Counting All Patients (cont.)
- FDA guidance now clear in calling for full
patient accounting. CONSORT statement similar.
There is no doubt the 6 missing ineligible deaths
had not been reported in NEJM - Weve also learned to be careful about
cause-specific CV mortality. Cause specific
mortality concern triggered by change in one
patient cause from interim to final, triggering a
You mean these can change thought and review of
cases. We found that similar events were
reported as SD on placebo, something else on
Anturane, leading to a reduced SD claim. Here
too we have been very cautious about such
analyses - Finally, transformation of an all CV death
analysis to a sudden death in 6 months would be
greeted skeptically
22Regulations
- The clinical parts of an application are affected
mainly by 3 regulations, the first 2 revised in
1985, the third created in 1992 - 21 CFR 314.50 Content and Format of an
application - 21 CFR 314.126 Adequate and Well-controlled
studies - 21 CFR 314.500 Accelerated approval (use of
surrogate endpoints and approval with
restrictions)
23Content and Format of an Application (21 CFR
314.50)
- A. Summary, including annotated labeling. There
is existing guidance but the new ICH Common
Technical Document format (CTD) will replace it - B. Technical sections also substantially
altered by CTD - 1. Chemistry
- 2. Non clinical pharm/tox
- 3. Human PK and bioavailability
- 4. Microbiology
- 5. Clinical
- 6. Statistical section
24Clinical Section
- Rule calls for
- 1. Description and analysis of every clinical
pharmacology study and every controlled study,
including the protocol and statistical analysis,
as well as sufficient reports of everything else
that is pertinent to safety and effectiveness
from any source
25Clinical Section
- 2. Integrated summary of data showing substantial
evidence of effectiveness and evidence to support
dosage and administration, modifications for
subgroups (pediatrics, geriatric, renal failure) - 3. Summary and updates (4 months prior to
approval) of safety information with all
available information related to safety,
including animal data, adverse effects, drug-drug
interactions
26Clinical Section
- 4. Case report forms for each patient who died or
did not complete study because of an adverse
event (thought drug related or not). Others on
request. Prior to 1985, all CRFs required - 5. Case report tabulations (replaced all CRFs)
- All data from well-controlled studies
- All data from earliest clinical pharmacology
studies - Safety data from other studies
- Original intent was archival moving toward
usable data sets
27Adequate and Well-Controlled Studies
- 314.126 Adequate and Well-Controlled Studies
- Very critical, describes the critical features of
the only kind of studies that can support
approval. - Apart from design and analysis (A and WC) must
show effectiveness, ordinarily a statistically
significant effect on a meaningful endpoint,
usually replicated.
28Adequate and Well-Controlled Studies
- Directed at three main goals
- 1. Need a valid control group because the course
of a disease is variable the state of the
disease can change spontaneously, and is subject
to many influences. The control group, a group
very similar to the test group, and treated the
same as people getting the test drug, except for
getting the drug, lets you tell drug effect from
other influences, such as spontaneous change,
placebo effect, biased observation. - (If course was predictable, you would just
intervene and observe.)
29Adequate and Well-Controlled Studies
- 2. Need to minimize bias, a tilt favoring one
treatment group, a directed (non-random)
difference in how test and control group are
selected, treated, observed or analyzed - 3. Sufficient detail to know how the study was
done and what results were
30Adequate and Well-Controlled Studies (Contd)
- Reports of adequate and well-controlled
investigations provide the primary basis for
determining whether there is substantial
evidence to support the claims of effectiveness
for new drugs and antibiotics. Therefore, the
study report should provide sufficient details of
study design, conduct, and analysis to allow
critical evaluation and a determination of
whether the characteristics of an adequate and
well-controlled study are present.
31Kinds of Controls
- Placebo control
- No treatment concurrent control
- Dose-response control
- Active Control
- Historical Control
- There is no hierarchy all types can be, and in
any given year are, used as the basis for
approval of a drug. But not every design is
usable in every situation. - Critical distinction trials that must show a
difference to succeed (stimulus to excellence
because sloppiness gives a bias toward the
null) and trials intended not to show a
difference (active control non-inferiority
studies).
32Dose-Response
- D/R study one kind of controlled trial positive
D/R slope shows effectiveness. - Also, growing recognition that it is important to
choose a reasonable dose - ICH guideline 1993.
Show D/R for benefits and risks. - Historical error diuretics
- Effective dose 1/8-1/4 dose used
- Hypokalemia, probably decreased benefit of
treatment - Disparity between stroke effect (40) and cardiac
effect (15 - until low-dose used (SHEP)
33Dose-Response Studies
- Until early 1980s, most trials with more than
one dose titrated the dose, generally to some
endpoint. This meant - 1. The group on any given dose was not chosen
randomly - 2. Time and dose were confounded secular trend
would look like response to dose. Particularly
useless for safety - In 1980s, FDA promoted the randomized, parallel,
fixed dose, dose-response study, identified as
the standard in ICH E4 guidance. Note, D/R
studies can serve two purposes - 1. Show effectiveness
- 2. Show D/R
34Adequate and Well-Controlled Studies (Contd)
- (IV) Active Treatment Concurrent Control. The
test drug is compared with known effective
therapy for example, where the condition treated
is such that administration of placebo or no
treatment would be contrary to the interest of
the patient. An active treatment study may
include additional treatment groups, however,
such as a placebo control or a dose-comparison
control. Active treatment trials usually include
randomization and blinding of patients or
investigators, or both. If the intent of the
trial is to show similarity of the test and
control drugs, the report of the study should
assess the ability of the study to have detected
a difference between treatments. Similarity of
test drug and active control can mean either that
both drugs were effective or that neither was
effective. The analysis of the study should
explain why the drugs should be considered
effective in the study, for example, by reference
to results in previous placebo-controlled studies
of the active control drug.
35Equivalence Trials
- A major regulatory, ethical, international
problem - Fundamental distinction between trials intended
to show a difference and trials intended to show
similarity latter pose major problems of
interpretation. - Desire to use equivalence is understandable
seems sensible to compare new and old effective
therapy, see no difference and declare victory.
Avoids exposure to ineffective treatment. - I will return to this in more detail later.
36Adequate and Well-Controlled Studies (Contd)
- (V) Historical Control. The results of treatment
with the test drug are compared with experience
historically derived from the adequately
documented natural history of the disease or
condition, or from the results of active
treatment, in comparable patients or populations.
Because historical control populations usually
cannot be as well assessed with respect to
pertinent variables as can concurrent control
populations, historical control designs are
usually reserved for special circumstances.
Examples include studies of diseases with high
and predictable mortality (for example, certain
malignancies) and studies in which the effect of
the drug is self-evident (general anesthetics,
drug metabolism).
37Historical Control (External)
- Retrospective
- Unblinded
- Selection bias
- Past experience, other non-random experience
- Baseline (patient as own) control
38Historical Controls
- Critical Reference -
- Sacks, Chalmers, Smith
- Am J. Medicine (1982) 72233-240.
- Comparison of RCTs and HCTs for same disease
- Always
- 1. RCT less favorable than HCT
- 2. Reason was that the historical control was
worse than the randomized control (selection
bias) - 3. Not possible to adjust the difference
- Many examples of misleading HCTs great care in
relying on one
39Adequate and Well-Controlled Studies (Contd)
- (4) The method of assigning patients to treatment
and control groups minimizes bias and is intended
to assure comparability of the groups with
respect to pertinent variables such as age, sex,
severity of disease, duration of disease, and use
of drugs or therapy other than the test drug.
The protocol for the study and the report of its
results should describe how subjects were
assigned to groups. Ordinarily, in a
concurrently controlled study, assignment is by
randomization, with or without stratification. - Bias reduction before the trial.
40Adequate and Well-Controlled Studies (Contd)
- (5) Adequate measures are taken to minimize bias
on the part of the subjects, observers, and
analysts of the data. The protocol and report of
the study should describe the procedures used to
accomplish this, such as blinding. - Bias reduction during and after the trial
41Endpoints of Trials
- The choice of study endpoints is critical to drug
assessment, but law and regulations say little.
The endpoint must be clinically meaningful
(Court) but can be - important outcome death, AMI
- symptom
- surrogate endpoint
- A surrogate endpoint, or marker, is a
laboratory measurement or physical sign that is
used in therapeutic trials as a substitute for a
clinically meaningful endpoint that is a direct
measure of how a patient feels, functions, or
survives and that is expected to predict the
effect of the therapy
42Accelerated Approval (21 CFR 314.500)
- Nothing in law forbids use of a surrogate
endpoint for approval and some are considered
valid and regularly use (BP, BS, cholesterol) - But experience with antiarrhythmics, inotropic
drugs for heart failure, and even the relatively
modest effect of antihypertensives on CV
mortality has led to considerable skepticism - A rule (1992) on Accelerated Approval addressed
this, reflecting both skepticism and the sense of
urgency that can arise in relation to serious,
untreatable illnesses Incorporated into FDAMA,
1997
43Accelerated Approval
- Approval based on a surrogate endpoint that is
reasonably likely, based on epidemiologic,
therapeutic, pathophysiologic, or other evidence
to predict clinical benefit. - Conditions
- 1. Serious or life-threatening illness
- 2. Meaningful therapeutic benefit over existing
treatments - 3. Requirement to study the drug post-approval to
verify and describe its clinical benefit. - 4. Easy removal
- Used principally for AIDS drugs (viral load, T4
lymphocytes) and oncologic drugs (response rate
in refractory disease)
44II. Quantity of Evidence Needed to Support
Effectiveness
- A. Legal standard it has been FDAs position,
based on the words of the statute (adequate and
well-controlled studies) and legislative
history, that Congress intended to require at
least two adequate and well-controlled studies,
each convincing on its own, to establish
effectiveness. We have been supported by the
Courts. - But we have been flexible
- Relied on other pertinent studies (different
stages, dosage forms, regimens) to support a
single A WC study. (There are A WC studies
in this case.) - Relied on single excellent multicenter study with
statistically strong finding, generally where
there was an important clinical benefit, making a
confirmatory study difficult to conduct on
ethical grounds
45- B. Scientific Basis for Legal Standard
- Independent Substantiation needed because
- A trial may have undetected biases
- Chance can yield a single favorable result. This
can be dealt with by statistical evaluation but
note the extent of multiplicity when there are
hundreds of clinical trials - Results may be site-dependent, not generalizable
- Fraud can occur
- Not necessarily (or even best) an exact
replication we use the term independent
substantiation, not replication
46505(d), as amended
- ...As used in this subsection, the term
substantial evidence means evidence consisting
of adequate and well-controlled investigations,
including clinical investigations...that lead to
the conclusion that the drug will have the
effect... it is represented to have... NEW. If
the Secretary determines, based on relevant
science, that data from one adequate and
well-controlled clinical investigation and
confirmatory evidence (obtained prior to or after
such investigation) are sufficient to establish
effectiveness, the Secretary may consider such
data and evidence to constitute substantial
evidence for purposes of the preceding sentence.
47How Many Studies?orWhen Can an Effectiveness
Conclusion be Based on a Single Study
- Guidance Providing Clinical Evidence of
Effectiveness for Human Drug and Biological
Products (May 1998) - Response to FDAMA (1997), though had been under
development for several years
48Guidance/Advice
- Law and regulations give only the most general
description of what is needed. Details come in
guidance, which comes in several forms - 1. Guidance documents
- Specific clinical guidances for a therapeutic
area - More general guidance on approaches
49Guidance/Advice
- 2. Meetings with FDA end of phase 2, other
- FDA always prepared to meet to help design
clinical trials, agree on endpoints, design,
number of studies, design, number of studies,
size of safety data base, etc. - Minutes record agreements, which we live by
unless public health demands otherwise - 3. Open Advisory Committee meetings
- 4. Availability of all reviews after drug is
approved
50Critical Guidance
- 1. Guideline on the Format and Content of the
Clinical and Statistical Sections of New Drug
Applications (1988) - Includes guidance on reporting an important
trial replaced by ICH E3 Structure and Content
of Clinical Study Reports and on integrated
analyses of the efficacy and safety data, which
are required under 314.50
51Critical Guidance
- 2. How to prepare the adverse reaction, clinical
trials Warnings and Precautions section of
labeling - 3. Many Clinical Pharmacology Guidances,
including - Studies of drug-drug interactions, both in vitro
and in vivo - Studies in renal and hepatic impairment
- Developing exposure-response information (soon)
- How to do population kinetic studies
52Critical Guidance
- 4. Other ICH Guidances
- E4 - Dose-Response Information to Support Drug
Registration - E5 - Ethnic Factors (Really, what additional data
should be requested if submitted data are
extra-regional) - E6 - GCPs
- E9 - Statistical Principles for Clinical Trials
- E10 Choice of Control Group
- E-14 Clinical Evaluation of QT/QTc
- 5. Internal guidance review template and safety
review