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FDA Perspectives on Clinical Trial Development of Gene Therapy

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FDA Perspectives on Clinical Trial Development of Gene Therapy Changting C Haudenschild, M.D changting.haudenschild_at_fda.hhs.gov OCTGT/CBER/FDA ASGT 12th Annual Meeting – PowerPoint PPT presentation

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Title: FDA Perspectives on Clinical Trial Development of Gene Therapy


1
FDA Perspectives on Clinical Trial Development of
Gene Therapy
  • Changting C Haudenschild, M.D
  • changting.haudenschild_at_fda.hhs.gov
  • OCTGT/CBER/FDA
  • ASGT 12th Annual Meeting
  • May 27-30, 2009

2
FDA Organization
  • CBER - Center for Biologics Evaluation and
    Research
  • Office of Cellular, Tissue, and Gene Therapy
  • Office of Vaccines Research and Review
  • Office of Blood Research and Review
  • CDER - Center for Drug Evaluation and Research
  • CDRH - Center for Devices and Radiological Health
  • CFSAN Center for Food Safety and Applied
    Nutrition
  • CVM Center for Veterinary Medicine
  • NCTR National Center for Toxicological research

3
Diversity of Products in OCTGT
  • Gene products
  • Replacement therapy for monogenic disease
  • Modification of physiological homeostasis
  • Cellular products
  • Autologous selected, cultured, or modified
  • Allogeneic selected, cultured, or modified
  • Genetically modified somatic cells
  • Tissue and tissue based products
  • Xeno-transplantation products
  • Combination products

4
Gene Therapy Products
  • Definition
  • All products that mediate their effects by
    transcription
  • and/or translation of transferred genetic
    material and/or by
  • integrating into the host genome and that are
    administered
  • as nucleic acids, viruses, or genetically
    engineered
  • microorganisms. The products may be used to
    modify cells
  • in vivo or transferred to cells ex vivo prior to
    administration
  • to the recipient.
  • Gene transfer via vectors
  • Cells modified by gene transfer vectors

2006 Guidance for Industry - Gene therapy
Clinical Trials- Observing Subjects for Delayed
Adverse Events
5
Information Needed to Start an Early- Phase
Clinical Study
  • Product manufacture, characterization, and safety
    testings
  • http//www.fda.gov/cber/gdlns/gtindcmc.htm
  • Safety information to show that the proposed
    treatment is reasonably safe to administer in
    human, based on
  • Pre-clinical studies conducted in appropriate
    animal species/models
  • Data from previous or ongoing clinical studies
  • Published scientific data

6
Information Needed to Start an Early Phase
Clinical Trial
  • Starting dose or dose range
  • Rationale of route of administration
  • Delivery device
  • Biological activity data
  • Gene expression in target tissues
  • Measurable transgene product in target tissues

7
Clinical Study Design
  • Patient selection
  • Dose selection
  • Product administration
  • Safety monitoring
  • Collection of activity/efficacy data
  • Study endpoints

8
Patient Population
  • Define the disease indication
  • Specify eligibility criteria
  • Diagnostic/staging criteria
  • All patient should be on optimal medical therapy
  • Special consideration for treating pediatric
    patients
  • Treat adult patients first to collect safety data
  • Scientific justification of treating pediatric
    patients

9
Dosing Selection
  • Starting dose should be consistent with
    biological activity and below the dose at which
    adverse effects were seen in pre-clinical studies
  • Staggered patient enrollment
  • Conservative dose escalation
  • MTD may not be definable

10
Product Administration
  • Rationale for the procedure selection
  • Detailed procedural information with supporting
    data
  • Dose/volume/injection times
  • Delivery devices are subject to review
  • Safety monitoring plan for invasive procedures
  • Training plan may be needed for the use of the
    delivery device

11
Safety Monitoring
  • Based on
  • Animal and in vitro studies
  • Understanding of mechanism of action of the
    products
  • Published information
  • Continuous improvement of safety monitoring plan

12
Safety Monitoring Plan
  • Examples
  • Inflammatory response to
  • Product (virus vectors)
  • Mechanical injury due to the procedure
  • Immunological response to
  • Virus vectors
  • Transgene product
  • Modified autologous cells
  • Long-term follow-up for gene therapies
  • Guidance for Industry 2006 Gene therapy
    clinical trials observing subjects for delayed
    adverse events

13
Collecting Data Biologic Activity and Efficacy
  • In vivo biological activity
  • Duration and level of gene expression
  • Duration and level of transgene proteins
  • Clinical evaluation

14
Study Endpoints for an Early Phase Study
  • Evaluate specified safety
  • Product related
  • Procedure related
  • Select optimal dose that will be used for the
    late phase studies
  • Identify evidence of biological drug activity
  • Gain early evidence on effectiveness

15
Efficacy Endpoints for a Late Phase Study
  • Regular approval
  • Clinical benefits
  • Increased survival
  • Symptomatic improvement
  • Accelerated Approval
  • Established surrogate endpoints that are
    reasonably likely to predict clinical benefit
  • Postmarketing studies are required to demonstrate
    clinical benefits

16
Information Needed to Start a Late-Phase Study
  • Product characterization and consistency
  • A well-controlled, scientific valid Phase 2 study
    is valuable and may be critical in decisions
    regarding dose, endpoints, time of evaluation,
    etc
  • Preliminary safety profile should be established
  • Biological activity, and preliminary
    effectiveness should be demonstrated
  • Pivotal study design should be supported by the
    data from the early phase studies

17
Meeting with FDA to Discuss a Late-Phase Study
Design
  • Background data to support statistical design and
    power of the study to achieve objectives
  • Specific target population
  • Optimal dose and regimen
  • Proposed control arm and randomization plan
  • Safety motoring plans (short term and long-term)
  • Efficacy endpoint(s)
  • Statistical Analysis Plan

18
Challenges in Small Trial Design
  • Special design methods may be indicated for small
    trials
  • Blinding may be not feasible, or patients may be
    unwilling to enter a randomized trial
  • Double blind and placebo-control features may be
    not feasible
  • Historical control is considered
  • If natural history of the disease is well
    characterized and is relatively stable over time
  • If no treatment available or standard treatment
    is highly ineffective

19
Requirements for NDA/BLA Approval (CFR 601.25)
  • Safe for the use described in labeling
  • Demonstration of substantial evidence of
    effectiveness for the use described in labeling.
    Effectiveness is established by adequate and
    well-controlled studies (CFR 314.126)
  • Not misbranded

20
Early Communication with FDA
  • Non-binding, informal scientific discussion
    between FDA and sponsor
  • Via telecons
  • Via scientific meetings/workshops
  • Via outreach presentations
  • Discuss specific issue(s) of interest
  • Contact information
  • Patrick Riggins Ph.D
  • patrick.riggins_at_fda.hhs.gov
  • Branch Chief
  • Regulatory Management Staff

21
THANK YOU
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