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Title: W98: Clinical Trials: The Industry Perspective


1
W98 Clinical Trials The Industry Perspective
  • Kathi Durdon, MA, CCRPDirector, Clinical Trials
    OfficeSUNY Upstate Medical UniversitySyracuse,
    NY

2
Objectives
  • Overview Basics of Clinical Research
  • Review of Regulatory Requirements
  • Review Site Selection Criteria
  • Review HIPAA Implications on Conduct of Clinical
    Research
  • Summary of Industry Expectations

3
Audience Survey
  • Who Do You Work For?
  • Industry/Sponsor
  • Clinical Research Organization
  • Site
  • Other?

4
Basics of Clinical Research
5
What are Clinical Trials?
  • Research study in human volunteers which answer
    specific health questions.
  • Carefully conducted trials are the safest and
    fastest way to find treatments that work in
    people, and new ways to improve health.

FDA Basic Questions
6
Different Kinds of Trials
  • New treatments new combinations of drugs, new
    approaches to surgery or therapy
  • Prevention trials prevent disease - medicines,
    vitamins, vaccines, minerals, or lifestyle
    changes
  • Diagnostic trials better tests/procedures
  • Screening trials best way to detect certain
    diseases or health conditions
  • Quality of Life trials (Supportive Care)
    explore/ measure ways to improve comfort/quality
    of life for individuals with a chronic illness

FDA Basic Questions
7
Sponsored Clinical Trials - 2003
Number of Sponsored Trials
NIH Other Industry
University/ Fed Agency Organization
TRIAL SPONSORS
Fda Consumer Magazine http//www.fda.gov/fdac/fea
tures/2003/503_trial.html
8
Where are Drugs Developed?
Source National Survey, 2004Charlton Research
Company for Research! America
9
Where are Drugs Developed?
  • NIH reported to Congress in 2001 that it found a
    significant government investment in only 4 of 47
    medicines with sales of 500 million or more

PhRMA What goes into the cost of prescription
drugs
10
Translating Discovery into Practice
  • Government NIH-funded academic scientists do a
    terrific job in advancing basic knowledge about
    biology and disease. Their work improves our
    understanding of diseases. But pharmaceutical
    company scientists lead the way in translating
    basic science into practical medicines that help
    and heal patients.

PhRMA What goes into the cost of prescription
drugs
11
Phases of Clinical Research
  • Discovery
  • Pre-clinical
  • IND Submission
  • Phase I
  • Phase II
  • Phase III
  • FDA Review/Approval
  • Phase IV Post-marketing Surveillance

12
Discovery of Leads Candidates
  • New compounds that may become the new medicine
  • Millions of compounds are screened per year
  • Vast majority fail at this stage

13
Average Number of Compounds Completed During
Discovery
Source Parexels Pharmaceutical RD Statistical
Sourcebook, 2001
14
Pre-clinical
  • Extensive toxicological tests and animal studies
  • Determine whether drug is likely to be safe and
    effective in humans

15
Investigational New Drug (IND)
  • Application includes
  • All pre-clinical data
  • Manufacturing information
  • Approval allows drug to be tested in humans
  • 30-day review
  • Progress reports filed annually

16
Phase I
  • Assess drug safety
  • Small number of healthy volunteers
  • Determine what happens to the drug in the human
    body--how it is absorbed, metabolized, and
    excreted
  • Investigates side effects that occur as dosage
    levels are increased
  • Typically takes several months

CenterWatch Patient Resources
17
Phase II
  • Assess efficacy
  • About 100-300 subjects w/targeted disease
  • Most are randomized trials one group of subjects
    receive the experimental drug, while second
    "control" group receive standard treatment or
    placebo
  • Often studies are "blinded, neither patients nor
    researchers know who is getting the experimental
    drug
  • Can last 3 months - two years

CenterWatch Patient Resources
18
Phase III
  • Large-scale testing (1000-3000)
  • Provides more thorough understanding
    effectiveness, benefits, and the range of
    possible adverse reactions
  • Most are randomized and blinded trials
  • Typically last several years
  • Once successfully completed, pharmaceutical
    company can request FDA approval for marketing
    the drug

CenterWatch Patient Resources
19
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 determine the cost-effectiveness of
    a drug therapy relative to other traditional and
    new therapies

CenterWatch Patient Resources
20
Testing in Humans
FDA Testing in Humans
21
Drug Development Timeline
Creation Lab Testing 2-4 Years IND
Submission 2-3 Months Human Testing 3-7
Years NDA Preparation 6-12 Months FDA
Approval 6-12 Months Post-Marketing
Testing Ongoing
James Bolognese, Biostatistician, Merck Research
Laboratories
22
Source Pharmaceutical Research and
Manufacturers of America, based on data from
Center for the Study of Drug Development, Tufts
University, 1995.
23
RD Investment
  • PhRMA reported biotech pharma research members
    recorded 38.8 billion in RD on medicines in
    2004 (up from 34.5 billion in 2003).
  • 30.6 billion in US / 8.2 billion abroad
  • 1980 RD investment 2 billion

PhRMA Press Release, February 18,
2005www.phrma.org/mediaroom/press/releases/18.02.
2005.1128.cfm
24
RD Investment
  • One new medication cost to develop 500 million

Boston Consulting Group
25
(No Transcript)
26
Trends in Research Spending
Indexed Growth (1993 100)
Year
FDA/AAMC Drug Development Science Obstacles and
Opportunities for Collaboration Among Academia,
Industry and Government
27
Trends in Drug Biological Product Submissions
to FDA
Submissions to FDA
Year
NME New Molecular Entity BLA Biologic License
Application
FDA/AAMC Drug Development Science Obstacles and
Opportunities for Collaboration Among Academia,
Industry and Government
28
Industry Leading the Way
  • In the last two years
  • Over 100 new drugs became available
  • 1000 new medicines in development
  • Employs over 250,000 in the US
  • Research spending has nearly doubled every 5
    years since 1970
  • Average cost spent on prescription drugs 59
    cents

PhRma Facts about the US Pharmaceutical Industry
29
Regulatory Overview
30
Nuremberg Code - 1949
  • In the fall of 1943, the United States, Great
    Britain, and the Soviet Union agreed that, once
    victorious, they would prosecute individuals
    among the enemy who might have violated
    international law during the war. On August 8,
    1945--exactly three months after V.E. Day and two
    days after the bombing of  Hiroshima--representati
    ves of the American, British, French, and Soviet
    governments officially established the
    International Military Tribunal in Nuremberg,
    Germany.

Trials of War Criminals before the Nuremberg
Military Tribunals under Control Council Law No.
10, vol 2, pp 181-182, Washington, DC
31
Nuremberg Code - 1949
  • Voluntary consent of human subjects is absolutely
    essential
  • Experiment should yield fruitful results for the
    good of society, unprocurable by other methods or
    means of study
  • Designed and based on results of animal
    experimentation
  • Avoid all unnecessary physical and mental
    suffering and injury

32
Nuremberg Code -1949
  • Degree of risk taken should never exceed that
    determined by the humanitarian importance of the
    program to be solved
  • Proper preparations, facilities provided to
    protect experimental subject
  • Conducted only by scientifically qualified
    persons
  • Subject may end participation in experiment at
    any time

33
Declaration of Helsinki - 1964
  • A statement of ethical principles to provide
    guidance to physicians and other participants in
    medical research involving human subjects.
    Medical research involving human subjects
    includes research on identifiable human material
    or identifiable data.

34
Belmont Report - 1979
  • Basic Ethical Principles
  • Respect for Persons
  • Beneficence
  • Justice
  • Applications
  • Informed Consent
  • Assessment of Risk and Benefits
  • Selection of Subjects

35
Tuskegee 1932 - 1972
  • For forty years between 1932 and 1972, the U.S.
    Public Health Service (PHS) conducted an
    experiment on 399 black men in the late stages of
    syphilis. These men, for the most part illiterate
    sharecroppers from one of the poorest counties in
    Alabama, were never told what disease they were
    suffering from or of its seriousness. Informed
    that they were being treated for bad blood,1
    their doctors had no intention of curing them of
    syphilis at all. The data for the experiment was
    to be collected from autopsies of the men, and
    they were thus deliberately left to degenerate
    under the ravages of tertiary syphilis

Bad Blood The Tuskegee Syphilis Experiment,
James H. Jones, (New York Free Press, 1993).
36
Legislative Reaction
K. Zoon, The Regulation of Drug and Biological
Products, 2001
37
Regulations/Historical Overview
Source Milestones in U.S. Food and Drug Law
History
38
(No Transcript)
39
Source Milestones in U.S. Food and Drug Law
History
40
ICH - 1994
  • International Conference of Harmonization of
    Technical Requirements for Registration of
    Pharmaceuticals for Human Use (ICH)
  • Agreed definitions, terminology, procedures to
    ensure uniform Good Clinical Practice (GCP)

41
E6 Good Clinical Practice
  • Conducted in accordance with ethical principles
    having origin in the Declaration of Helsinki.
  • Guideline for the international ethical and
    scientific quality standard for designing,
    conducting, recording and reporting trials that
    involve the participation of human subjects.

42
Principles of ICH GCP
  • Anticipated benefits justify risks
  • Rights, safety and well-being of trial subjects
    are the most important consideration
  • Conducted in compliance with clear, detailed
    protocol which has received approval by IRB/IEC
  • Freely given informed consent

43
Code of Federal Regulations
  • The Code of Federal Regulations (CFR) is the
    codification of the general and permanent rules
    published in the Federal Register by the
    executive departments and agencies of the Federal
    Government.
  • http//www.gpoaccess.gov/cfr/

44
Title 21 Food and Drugs
  • Section
  • 50 Protection of Human Subjects
  • 54 Financial Disclosure by Investigators
  • 56 Institutional Review Boards
  • 312 Investigational New Drug Application

45
Site Selection Criteria
46
Sponsor/CRO/Site Relationship
  • Communication
  • Direct Contacts
  • Prompt Response
  • Understand Perspectives
  • Dont Assume

47
Site Selection Criteria
  • Experience
  • Trained Staff
  • Space
  • Subjects
  • Protected Time
  • Local IRB / Central IRB
  • Agreement / Budget Processing Timelines

48
Investing in a Country
  • Access to skilled workforce/scientists
  • Quality of science in the country
    Academia/Universities/Biotech clusters
  • Industry/Government partnerships
  • Fiscal/Economic climate

Gail H. Cassell, Ph.D., Vice President,
Scientific Affairs Eli Lilly and Company
49
Site Questionnaire
  • Verify of pts. seen in _ of months
  • Competing study?
  • Review of standard therapy
  • Recruitment practices
  • Facilities
  • Additional services required
  • Equipment

50
Pre-study Visit
  • Obtain documents necessary to proceed with
    prestudy visit (e.g., confidentiality agreement,
    curriculum vitae)
  • Develop an agenda
  • Send documents necessary for prestudy visit to
    the site (e.g., protocol, Investigator's
    Brochure)
  • Confirm appointment and ensure necessary
    personnel are available

ACRP
51
Pre-study Visit
  • Explain Investigator's Brochure to
    investigator/study staff
  • Explain protocol, study goals, methodology,
    regulatory obligations, and sponsor/CRO
    requirements to investigator/study staff
  • Assess investigator/study staff
  • Document and communicate pre-study visit findings
    internally

ACRP
52
Study Initiation
  • Conduct investigator's meeting(s)
  • Send study supplies to site
  • Initiate shipment of investigational product
  • Confirm appointment and ensure necessary
    personnel are available
  • Train site personnel on sponsor/CRO and
    regulatory requirements for study conduct

ACRP
53
Study Monitoring
  • Identify items for review
  • Confirm appointment and ensure necessary
    personnel are available
  • Assemble necessary documents and monitoring tools
    (e.g., subject enrollment status sheets,
    monitoring guidelines)
  • Ensure adequacy of study supplies and
    investigational product at site
  • Monitor and evaluate subject enrollment

ACRP
54
Monitoring Visit
  • Assess protocol adherence
  • Ensure that critical studies are conducted in
    accordance with local, state, federal, and
    appropriate regulatory regulations (e.g., IRB/IEC
    approval, informed consent, laboratory
    certification)
  • Ensure that informed consent process is conducted
    according to Good Clinical Practice (GCP)

ACRP
55
Monitoring Visit
  • Identify and communicate subject safety issues to
    appropriate staff (e.g., laboratory
    abnormalities)
  • Reconcile investigational product accountability
  • Review study files and regulatory documents at
    site for completeness and accuracy (e.g., FDA
    form 1572, sponsor/CRO correspondence, informed
    consent form)

56
Monitoring Visit
  • Review CRFs and source documents for completeness
    and consistency
  • Identify and report significant adverse events to
    appropriate staff
  • Confirm subjects' investigational product
    compliance
  • Identify study site deficiencies, provide
    continuing training, and implement corrective
    action when necessary
  • Assess enrollment issues

ACRP
57
Monitoring Visit
  • Prepare the monitoring visit report
  • Prepare the monitoring visit follow-up letter to
    the site
  • Report problems to appropriate in-house authority
  • Identify potential fraud and misconduct

ACRP
58
HIPAA Implications
59
HIPAA
  • Health Insurance Portability and Accountability
    Act of 1996
  • HIPAA covers insurance portability fraud
    enforcement (accountability) and administrative
    simplification

Lawrence H. Muhlbaier, Ph.D. HIPAA Training
Handbook for Researchers
60
HIPAA
  • Portability ensures that individuals moving
    from one health plan to another will have
    continuity of coverage/not denied coverage under
    preexisting condition clauses
  • Accountability significantly increases the
    federal governments fraud enforcement authority

Lawrence H. Muhlbaier, Ph.D. HIPAA Training
Handbook for Researchers
61
Administration Simplification!?
  • Privacy Rule protects individuals right to
    control access to and disclosure of their
    protected health information (PHI).
  • Security established to complement privacy
    measures.

Lawrence H. Muhlbaier, Ph.D. HIPAA Training
Handbook for Researchers
62
Research Under HIPAA
  • Almost all research other than some Phase I
    studies involving healthy subjects.
  • HIPAA covers all research activities that use
    individually identifiable (names, addresses,
    dates, phone/fax, etc.) health information about
    humans

63
Coverage
  • Covered Entities
  • Health Care Providers (Physicians, Hospitals)
  • Health Care Plans (Insurers, HMOs, Medicare)
  • Health Care Clearinghouses (transmit data)
  • Business Associates use protected health
    information (PHI) for or on behalf of covered
    entities

64
Research Under HIPAA
  • Use happens within a health care
    organization/covered entity
  • Disclosure information is given to someone who
    is not part of the organizations work force
  • User must use Notice of Privacy Practices

65
Impact on Research
  • Sponsors are generally not a Covered Entity or
    Business Associate
  • Most entities through which sponsors conduct
    human-subject research are covered entities
  • Sponsors cannot contact potential subjects but
    the covered entity can

66
Impact on Research
  • Extended Informed Consent Process
  • Indirect Subject Recruitment
  • Variations in Interpretation Leads to Confusion
  • Delays

67
Industry Expectations
68
Barriers to Success
  • Number of Investigators Decreasing
  • Who Does the Training?
  • Employee Turnover
  • Regulatory Delays

69
Drivers of Innovation
  • Market-based pricing
  • Intellectual property protection
  • Sustained public support for basic research and
    policy environment
  • Predictable, expeditious regulatory climate based
    upon sound science and innovative leadership

Gail H. Cassell, Ph.D., Vice President,
Scientific Affairs Eli Lilly and Company
70
Helpful Links
  • CFR http//www.gpoaccess.gov/cfr/
  • FDA www.fda.gov
  • PhRMA http//www.phrma.org/
  • CenterWatch http//www.centerwatch.com/index.htm
    l
  • Sponsor Web Pages
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