Scientific Data for Evidence-Based Drug Regulation - PowerPoint PPT Presentation

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Scientific Data for Evidence-Based Drug Regulation

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Scientific Data for Evidence-Based Drug Regulation Janet Woodcock, M.D. Director, Center for Drug Evaluation and Research Food and Drug Administration – PowerPoint PPT presentation

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Title: Scientific Data for Evidence-Based Drug Regulation


1
Scientific Data for Evidence-Based Drug Regulation
  • Janet Woodcock, M.D.
  • Director, Center for Drug Evaluation and Research
  • Food and Drug Administration
  • September 24, 2009

2
Agenda
  • Background
  • Scientific data in regulations, policy standards,
    and guidance
  • Scientific data in decision-making
  • Generating new scientific data
  • Improving transparency

3
Background
  • Pharmaceuticals are among the most tightly
    regulated products in the U.S.
  • Manufacturing, human investigations, market
    access, label claims, advertising and promotion
    all regulated by the FDA
  • Regulation based on scientific standards to the
    extent possible
  • Drug regulation has always been controversial

4
Background (cont.)
  • Many pharmaceutical standards are harmonized
    internationally
  • It is very difficult for FDA regulations,
    guidance, and policy to keep pace with scientific
    innovation
  • There is also much remaining uncertainty in the
    biological and social sciences

5
Scientific Data in Regulations
  • Rulemaking process
  • Currently can take 8 years at FDA
  • Avoid using specific numbers in regulation (i.e.,
    limits) if possible (specify in guidance)
  • Science informs approach
  • Example
  • Pregnancy Labeling Rule (proposed)
  • Data Animal toxicology
  • Pharmacologic data
  • Human exposure
  • Communications Science Data
  • How to relay sensible information to clinicians
    and pregnant women on risks and benefits of using
    a drug?

6
Scientific Data in Policy Decisions
  • How to approach the CFC withdrawal, mandated by
    the Montreal Protocol, for asthma inhalers?
  • How do deal with stearate in drug products in the
    face of BSE?
  • If there is a shortage of a medically necessary
    drug, how to decide if unapproved drugs are OK?

7
Scientific Data in Standards
  • Many FDA standards are technical
  • FDA will often defer to SDOs that establish
    technical standards
  • Many scientific standards for drugs established
    internationally through the International
    Conference on Harmonization of Technical
    Requirements for Pharmaceuticals (ICH)
  • Toxicology testing
  • Manufacturing standards
  • Clinical procedures such as Good Clinical
    Practices
  • NOT approval standards
  • FDA will go through Good Guidance Practice
    Procedures to establish these ICH standards in
    the U.S.

8
Scientific Data in Guidance
  • Good Guidance Practices
  • Started by FDA
  • Involves dissemination of draft, public comment,
    potentially workshops and public meetings, final
    guidance
  • Large number of science-based guidances
  • Not binding on outside parties or FDA represent
    FDAs best scientific judgment

9
Regulation, Policy, Standard and Guidance
Development
  • Transparent, data-driven processes
  • Generally involve extensive input from the
    affected communities, including the scientific
    experts
  • Frequently involves public workshops and
    scientific meetings
  • Used as basis for decisions on specific product
    applications

10
Scientific Data in Decision-Making
  • Individual applications are reviewed against
    scientific standards
  • Massive amounts of scientific data often
    evaluated-generated and submitted by industry
  • Investigational drug applications 10,000
  • New drug applications 140
  • Abbreviated new drug applications 800
  • Manufacturing data 5,000 submissions

11
Scientific Data in Decision Making
  • 140 New Drug Applications (NDAs)
  • Estimate that each NDA contains an average of
    10GB of data
  • FDA scientists review these data against the
    established regulations, policies, standards and
    guidance (guidance not binding)
  • Reviewers document whether the data meet the FDA
    standards in each area

12
Example Animal Toxicology
  • For an average, chronically dosed oral medication
    that is a new molecular entity, there may be 12
    formal toxicology studies performed (all
    specified internationally), each of which may be
    preceded by an informal dose ranging study
  • Most of these will be submitted during the IND
    phase of development

13
Example Generic Drugs
  • 800 new applications per year
  • Contain scientific data (per standards) on
    manufacturing, stability, impurities, and, if
    parenteral, microbiology
  • For pills, will have both fed and fasting
    bioequivalence studies that have to pass limits
    established in regulations, using studies
    specified in guidances

14
Scientific Data in Decision-Making
  • Standards for Drug Labels (package insert)
  • Each label statement must be backed up by
    scientific data
  • Data reviewed by FDA staff to ensure label
    accuracy
  • Standards for Drug Advertising
  • Claims must be supported by data
  • Enforcement against transgressions going beyond
    the data

15
New Scientific Data
  • There are huge knowledge gaps throughout drug
    regulation
  • Poor translation of basic science into actionable
    regulatory science
  • Lack of understanding/data on real world outcomes
    of using drugs
  • Lack of application of known communication
    science to drug labeling, promotion and
    advertising

16
Translation of Basic Science
  • FDA Critical Path Initiative seeks to bridge gaps
    between basic science and drug developmental
    science
  • Use of public-private partnerships to fill gaps
  • Multiple successful partnerships ongoing
  • Put all results into public domain

17
Example Predictive Biomarkers in Toxicology
  • Multiple drug companies had biomarkers for drug
    induced kidney toxicity
  • Consortium sponsored by C-Path Institute brought
    16 companies together to share knowledge
  • Resulted in acceptance of new renal biomarkers by
    FDA and EMEA
  • Now starting human testing

18
New Scientific Knowledge about Drug Use Outcomes
  • FDA carrying out the Sentinel Initiative
  • Use eHRs and other electronic health data (e.g.,
    claims) to form a distributed network to do
    analyses about drug use outcomes
  • Pilot starting this year
  • Will be a powerful source of new data intend to
    use public-private partnerships

19
Improving Transparency
  • Broad availability for scrutiny, analysis, and
    replication of results is a hallmark of good
    science
  • Transparency of drug regulatory process has
    improved, but still needs to be improved
  • Transparency of decision-making process
  • Transparency of basis (scientific data) for
    decisions

20
Particular Challenges
  • Animal toxicology and human data considered
    commercial confidential and not releasable
  • These data could be invaluable in advancing the
    science of toxicology and of human clinical
    trials (and drug development)
  • Arguably, all human data should be made publicly
    available in some form

21
Particular Challenges
  • Not all FDA drug reviews are made available in a
    timely manner
  • FDA lacks the staff to perform the needed
    redaction of trade secret/commercial confidential
    data
  • FDA releases adverse event reporting data on a
    quarterly basis (receives about 250,000 important
    reports annually)

22
Transparency
  • More needs to be done on data availability and
    transparency
  • FDA has data that might be invaluable in
    advancing human health if it were available to
    researchers
  • Resource and legal barriers exist

23
Summary
  • Drug regulation in the United States is a
    extensively scientific data-driven process, from
    the development of standards to the review of
    applications against the standards
  • Many of these scientific standards are
    internationally accepted
  • More needs to be done on data access and
    transparency
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