Title: Reclassification of IIIA allergenic products
1Reclassification of IIIA allergenic products
2Allergen Extracts
- pollens
- molds
- epidermoids
- insects
- foods
3Todays presentation
- History of allergy and allergy treatment
- Allergen extract regulation
- Pre-FDA
- FDA
- 21 CFR 601.25
- 21 CFR 601.26
- Completion of the 21 CFR 601.26 process
4History of allergy and allergy treatment
- 1819 Dr. John Bostock first accurately
describes hay fever as a disease affecting the
upper respiratory tract - 1869 In investigating his own hay fever, Dr.
Charles Blakely performs the first skin test by
applying pollen through a small break in his
skin. He introduces concept that pollen causes
hay fever
- http//www.allergyclinic.co.nz/guides/39.html
5History of allergy and allergy treatment
- 1911 - Noon and Freeman make sterile extracts of
pollens and demonstrate that repeated injections
improve clinical tolerance to allergen exposure,
establishing the basis for allergen extract
immunotherapy
- http//www.allergyclinic.co.nz/guides/39.html
6History of allergy and allergy treatment
- First aqueous extracts Curtis (1900)
- Systematic investigations on extraction method
Wodehouse and Walker (1917) and Coca (1920s) - Early allergists prepared extracts in their own
offices for use with their patients
Cohen and Evans, Allergen immunotherapy in
historical perspective. In Lockey, et al.
Allergens and allergen immunotherapy, 3rd ed. 2004
7Allergen extract manufacturing
- Physicians began preparing extracts for others
- Sheldon et al. A Manual of Clinical Allergy
(Saunders, 1953) contains detailed instructions
(30 pages) for allergen extract production - Practice evolved to independent laboratories
preparing extracts - Laboratories evolved into licensed manufacturers
(first license issued in 1920s)
8US allergen extract timeline
1900 First extracts
1920 Manufacturers
9Allergen extract regulation
- 1902 Hygienic Laboratory, Public Health and
Marine Hospital Service - 1930 National Institute (sic) of Health
- 1955-1972 Division of Biologics Standards, NIH
- 1972 Bureau of Biologics, FDA
- 1982 Center for Drugs and Biologics, FDA
- 1987 Center for Biologics Evaluation and
Research, FDA
- Biologics Control Act of 1902
- Food and Drugs Act of 1906
- Food Drug and Cosmetic Act of 1938
- Public Health Service Act of 1944
- Food and Drug Administration Modernization Act of
1997
http//www.fda.gov/opacom/backgrounders/miles.html
/ http//www.history.nih.gov/exhibits/history
10Allergen extract regulation
- 1902 Hygienic Laboratory, Public Health and
Marine Hospital Service - 1930 National Institute (sic) of Health
- 1955-1972 Division of Biologics Standards, NIH
- 1972 Bureau of Biologics, FDA
- 1982 Center for Drugs and Biologics, FDA
- 1987 Center for Biologics Evaluation and
Research, FDA
- Biologics Control Act of 1902
- Food and Drugs Act of 1906
- Food Drug and Cosmetic Act of 1938
- Public Health Service Act of 1944
- Food and Drug Administration Modernization Act of
1987
http//www.fda.gov/opacom/backgrounders/miles.html
/ http//www.history.nih.gov/exhibits/history
11US allergen extract timeline
1900 First extracts
1920 Manufacturers
12Classification panel
- Convened under 21 CFR 601.25 For purposes of
reviewing biological products that have been
licensed prior to July 1, 1972 that they are safe
and effective and not misbranded - Data requested from manufacturers in 39 FR 1082
(4 January 1974) and 39 FR 21176 (12 June 1974) - Panel met from 24 May 1974 through 11 August
1979 - Panel report submitted 13 March 1981 published
in 50 FR 3082-3288 (23 January 1985)
13US allergen extract timeline
1974-1979 Classification Panel 601.25 I/II/IIIA/II
IB
1900 First extracts
1920 Manufacturers
14MembersClassification panel 1974-1979
- Paul Seebohm, MD
- Elliot Ellis, MD
- Ralph Hale, MD
- David Levy, MD
- Frank Perlman, MD
- Robert Reisman, MD
- Thomas Van Metre, MD
- Max Samter, MD (consultant)
15The Panels Task Classification panel 1974-1979
(601.25)
- gt1,500 extracted substances reviewed
- Goals
- Evaluate safety and efficacy in accordance with
601.25 - Review labeling
- Submit report on conclusions and recommendations
16Standards for Safety and Efficacy Classification
panel 1974-1979 (601.25)
- Standards Defined for Safety in 601.25
- relative freedom from harmful effect
- Proof shall consist of adequate tests by methods
reasonably applicableincluding results of
significant human experience
17Standards for Safety and Efficacy Classification
panel 1974-1979 (601.25)
- Standards Defined for Efficacy in 601.25
- reasonable expectation that..the biological
productwill serve a clinically significant
function in the diagnosistreatmentof disease - Proofshall consist of controlled clinical
investigationsunless this requirement is waived
because - Not reasonably applicable or
- Not essential to the investigation and
- An alternative methods of investigation is
adequate to substantiate effectiveness
18Product Classification Categories Defined in 21
CFR 601.25
- Category I safe effective and not misbranded
- Category II unsafe ineffective or misbranded
- Category III data insufficient for
classification - IIIA thought to have favorable risk-benefit
ratio remain on the market pending completion of
testing - IIIB thought to have unfavorable risk-benefit
ratio removal from the market pending completion
of testing
19Immunotherapy evidence standardsClassification
panel 1974-1979 (601.25)
- Panel established criteria for evidence of
immunotherapy efficacy - Conclusive
- Acceptable
- Circumstantial
- Insufficient
20Immunotherapy evidence standardsClassification
panel 1974-1979 (601.25)
- Conclusive Evidence
- Effective in skin test diagnosis, and
- Placebo-controlled reduction in symptoms, and
- In vitro changes
- Specific IgG decreases
- Seasonal rise in IgE blunted
- Specific IgE decreases
- Histamine release decreases
p. 3093
21Immunotherapy evidence standardsClassification
panel 1974-1979 (601.25)
- Acceptable Evidence
- Effective in skin test diagnosis, and
- Long experience suggests reduction in symptoms,
and - In vitro changes
- Specific IgG decreases
- Seasonal rise in IgE blunted
- Specific IgE decreases
- Histamine release decreases
p. 3093
22Immunotherapy evidence standardsClassification
panel 1974-1979 (601.25)
- Circumstantial Evidence
- Effective in skin test diagnosis, and
- Long experience suggests reduction in symptoms
- Insufficient Evidence
- Not effective in skin test diagnosis
- Anecdotal reduction in symptoms
- No in vitro changes
p. 3093
23Category I( safe effective and not
misbranded)Classification panel 1974-1979
(601.25)
- Conclusive evidence or
- Acceptable evidence, along with
- Widespread acceptance and use
- Clinical syndrome documented
- Favorable in vitro changes
- Systematic observation of possible AEs
- Natural history understood
p. 3094
24Category IIIA( data insufficient for
classification favorable risk/benefit may
remain on market)Classification panel 1974-1979
(601.25)
- Acceptable evidence
- Circumstantial evidence
p. 3094
25Category IIIB ( data insufficient for
classification unfavorable risk/benefit may not
remain on market)Classification panel 1974-1979
(601.25)
- Insufficient evidence
- May be assigned to II depending on
- Strength of data
- Lack of safety
- Risk/benefit
p. 3094
26Panel recommendationsClassification panel
1974-1979 (601.25)
- Manufacturing principles
- Studies for IIIA products
- Standardization
27Panel recommendationsClassification panel
1974-1979 (601.25)
- Manufacturing principles
- Studies for IIIA products
- Standardization
28Studies on IIIA productsClassification panel
1974-1979 (601.25)
- Panel Recommendations
- Design collaborative studies
- Allow inference among related allergens
- Obtain FDA approval for studies
- Separate protocols for Diagnosis and
Immunotherapy - For some extracts, these requirements may be
modified - In vitro data may be acceptable in some cases
p. 3116-3123
29FDA responses to Panels recommendations
- Recommendations regarding further testing of IIIA
products superceded by a new rule (21 CFR 601.26)
establishing a reclassification review panel - 47 FR 44062 (5 October 1982)
- Agency will publish a separate proposal regarding
Category IIIA products
30US allergen extract timeline
1974-1979 Classification Panel 601.25 I/II/IIIA/II
IB
1900 First extracts
1920 Manufacturers
31US allergen extract timeline
1974-1979 Classification Panel 601.25 I/II/IIIA/II
IB
1900 First extracts
1920 Manufacturers
32US allergen extract timeline
1974-1979 Classification Panel 601.25 I/II/IIIA/II
IB
1900 First extracts
1920 Manufacturers
33Todays presentation
- History of allergy and allergy treatment
- Allergen extract regulation
- Pre-FDA
- FDA
- 21 CFR 601.25
- 21 CFR 601.26
- Completion of the 21 CFR 601.26 process
34Reclassification panel
- Convened under 21 CFR 601.26 IIIA products to
be reclassified as I or II - Panel met from 19 November 1982 to 4 June 1983
- Panel report submitted December 1983
35US allergen extract timeline
1974-1979 Classification Panel 601.25 I/II/IIIA/II
IB
1900 First extracts
1920 Manufacturers
36MembersReclassification panel 1982-1983 (601.26)
- Paul Seebohm, MD
- Elliot Ellis, MD
- Clifton Furukawa, MD
- Ralph Hale, MD
- David Levy, MD
- Floyd Malveaux, MD
- Thomas Van Metre, MD
on previous panel
37Panel Recommendations (diagnosis)Reclassification
panel 1982-1983 (601.26)
- All Category IIIA products recommended for
reclassification into Category I for diagnosis
except - Certain pollens, molds, avian/mammalian,
inhalants were recommended for reclassification
as Category II - Panel stated that species definition required for
reclassification into Category I
38Panel Recommendations (therapy)Reclassification
panel 1982-1983 (601.26)
- Pollen extracts, mammalian/avian extracts, many
mold and insect extracts recommended for
reclassification into Category I - Species definition was required for
reclassification into Category I - Miscellaneous inhalant and all food extracts
recommended for reclassification into Category II
39Fast forward (1983 to 2003)
40Task at hand 2003-2006
- Review the 601.26 Reclassification Panels
recommendations regarding Category IIIA products - Review data published since 1972
- Determine FDA position on Reclassification
Panels recommendations based upon additional
data
41US allergen extract timeline
1974-1979 Classification Panel 601.25 I/II/IIIA/II
IB
1900 First extracts
1920 Manufacturers
42The process 2003-2006
- Establish a provisional process by which Category
IIIA products will be reclassified and implement
the process - Collect data on products since 1972
- Establish criteria to be applied when reviewing
data - Publish a Proposed Order Federal Register
- FDAs reclassification of IIIA products into
Category I or II - Period for public comment after issuance of
Proposed Order - Consider public responses, and revise order as
necessary - Publish a Final Order Federal Register
- Classification
- Revoke licenses for products reclassified into
Category II
43Provisional review process (I)
- Data to be collected
- Medline search
- English-language literature, 1972 to present
- Manufacturer data, if available
- Files submitted to docket
- Medwatch and VAERS
44Categorization of papers
- Study design
- Case report
- Number of cases
- Observational cohort
- Case-control
- Prospective
- Retrospective
- Placebo-controlled prospective
45Categorization of papers
- Species
- Human
- Veterinary
- Vehicle
- Aqueous
- Glycerine
- Alum
- Not specified
- Potency test
- None
- protein
- w/v
- Biological
- Antibody-based
- Lot
- Single
- Multiple, identified
- neither
46Categorization of papers
- Diagnosis
- Prick
- ID
- Quantitative
- Immunotherapy
- Rush
- Conventional
- Oral
- Sublingual
- Parenteral
- Statistical analysis
- Valid
- Invalid
- None
- Analysis
- Validated
- Challenge
- Patient report
- Quantified
47Provisional review process (II)
- Criteria for reclassification into category I
- Efficacy two or more well-described case
reports, uncontradicted. - Safety absence of species-specific SAE reports
from any source greater than case reports will
consider risk-benefit for case reports
48Rationale for CBER Review Committee criteria
- Positive data on efficacy required
- Well-described case reports are sufficient
controlled trials NOT necessary. Although there
are many controlled efficacy trials for allergen
immunotherapy, these have only been performed
using few highly prevalent extracts
49Rationale for CBER Review Committee criteria
- Negative safety data sufficient
- Baseline of AEs for both skin tests and
immunotherapy with all extracts - Higher-than-baseline AEs typical for the most
potent extracts - Higher-than-baseline AEs associated with patient
and practice risk factors
50Provisional review process (III) Report format
- Extract name
- Alias
- Group
- Manufacturers
- Category, according to Panel
- Reclassification category
- Citation in original Panel report
- Specific literature cited in Panel report, with
brief summaries (if possible, separate by
diagnosis, therapy and cross-reactivity) - Literature retrieved since 1972 (include search
strategy) - Assessment and reclassification
- All cited literature, in digital format
51Proposal (IV) - documentation
- All cited literature, PDF format
- All submitted manufacturer data
- All committee reports
- All committee discussion
52Reclassification of IIIA allergenic products
- Completion of review/regulatory process started
in 1972 - Approximately 1200 products to review
- Extensive documentation of review materials and
deliberations - Will report progress to Advisory Committee
53US allergen extract timeline
1974-1979 Classification Panel 601.25 I/II/IIIA/II
IB
1900 First extracts
1920 Manufacturers