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ICH V1 An FDA Update

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Title: ICH V1 An FDA Update


1
ICH V1An FDA Update
  • Min Chen, M.S., RPh
  • Office of Drug Safety
  • Center for Drug Evaluation and Research
  • FDA
  • January 21, 2003

2
ICH E2C V1 Expert Working Group
  • Need of an Addendum to E2C was defined as topic
    V1 in early 2002 in Brussels
  • Interim meeting held in June 2002 in London-
    First draft
  • Step 2 document or Addendum completed in
    September 2002 in Washington DC

3
Status of V1 Addendum
  • ICH Steering Committee signed off the Step 2
    document in September 2002
  • 3 regional regulatory agencies to publish for
    comments
  • EMEA published for comments on EU website in
    September 2002, comments collected
    (http//www.ich.org/ich5e.html)
  • MHLW published in Japanese November 2002,
    comments deadline Jan. 10, 2003
  • U.S. published in FR on December 31, 2002,
    comments deadline Jan. 24, 2003

4
PSURs (Periodic Safety Update Reports) Present
Situation in U.S.
  • Adopted ICH E2C Guideline published in FR May
    1997
  • Not required format for periodic reports yet
  • Draft Reporting Guidance published 3/2001 allows
    companies through waiver request submitting
    periodic reports in E2C format

5
V1 Step 2 Document- Overview
  • Synchronization of National Birthdates with the
    International Birthdates
  • Use of the latest version of the reference safety
    information
  • Submission of executive summaries as part of the
    PSUR
  • Options to submit summary bridging reports and
    addendum reports
  • Handling of solicited reports

6
Next Steps to the Addendum
  • Step 3 - Collecting comments for further EWG
    discussions
  • Reach Step 4
  • Each regulatory agency publication as final
    guideline

7
Current Postmarketing Periodic Reporting
Requirement in U.S.
  • 21 CFR 314.80
  • Reporting timeline
  • quarterly for first three years, then annually
  • upon written notice, FDA may extend or
    re-establish the cycle at different times, e.g.,
    new major supplement approvals or other
    conditions

8
Current Postmarketing Periodic Reporting
Requirement in US (Contd)
  • Required Components
  • narrative summary and analysis of interval
    expedited reports
  • FDA Form 3500A with an index consisting of a line
    listing of all non-expedited reports for interval
  • history of actions taken

9
Current Draft Reporting Guidance re Periodic
Reports
  • Information required and contained within a
    report should be divided into 4 sections
  • 1. Narrative summary and analysis
  • 2. Narrative discussion of actions taken
  • 3. Index line listing
  • 4. FDA Form 3500As or VAERS forms

10
Summary of Content in the Addendum
  • Introduction-
  • provides further clarifications, guidance or
    increased flexibility beyond that provided in E2C
  • Addendum to be used with E2C

11
1.1 Objectives
  • PSURs contain proprietary information
  • Confidentiality of the data and conclusions
    stated in Title page
  • A more comprehensive safety or risk-benefit
    analysis can be prepared and submitted as a
    stand alone document
  • in addition to the usual safety analysis in PSUR
  • results of the risk-benefit analysis be included
    in the next PSUR

12
1.4 General Principles1.4.1 One report for one
active substance
  • All indications, dosage forms and regimens
  • Separate PSURs
  • fixed combinations
  • two or more different formulations, e.g.,
    systemic vs topical

13
1.4.4 IBD and frequency of review and reporting
  • When use local approval date, may submit prepared
    IBD-based PSUR plus
  • line-listings and/or summary tabulations covering
    the additional period (lt3 mo for 6 month PSUR, lt6
    mo for a longer duration PSUR), or
  • and Addendum Report (gt3 mo for 6 mo PSUR, gt6 mo
    for a longer duration PSUR)

14
1.4.4.1 Synchronization of national birthdates
with the IBD
  • IBD unknown, MAH can designate the IBD and notify
    the Regulatory Authorities
  • Different approval dates in regions, MAH may
    negotiate a mutually acceptable birth month and
    day

15
1.4.4.2 Summary Bridging Reports
  • CIOMS V - p. 154-6
  • Concise document that integrates two or more
    PSURs to cover a specified period
  • format identical to the usual PSUR
  • summary highlights and overview of data

16
1.4.4.3 Addendum Reports
  • An update to the most recently completed PSUR,
    requested by Regulatory Authorities outside of
    the usual IBD cycle
  • Summarize the safety data between interval
  • Introduction
  • Changes to the CCSI
  • Significant regulatory actions
  • Line listing and summary tabulations
  • Conclusions

17
1.4.4.4 Restart the Clock
  • Decision should be discussed with the Regulatory
    Authority
  • A new clinically dissimilar indication
  • A previously unapproved use in a special patient
    population
  • A new formulation and/or new route of
    administration

18
1.4.4.5 Time Interval between the Data Lock Point
and the Submission
  • RA sends comments to the MAH on
  • non-compliance
  • safety issues need further evaluation
  • additional analysis or issues of content
    identified
  • Additional time for Submission
  • Large number of reports
  • Issues raised by RA or MAH for further analysis

19
1.4.5 Reference Safety Information
  • CCSI at the beginning of the period used for 6
    month and 1 year reports
  • The latest CCSI at the end of the period used for
    longer period of reports

20
2.1 Executive Summary
  • Overview of PSUR when needed
  • At the beginning of the PSUR
  • Example in CIOMS V p.333

21
2.5 Patient Exposure
  • Difficulty in estimating patient exposure data is
    discussed
  • Consistent in methods of calculation
  • Extrapolations may be used based on information
    from a period that does not fully cover the
    period
  • Avoid patient exposure data that overlap time
    periods in a summary bridging report

22
2.6 Presentation of Individual Case Histories
  • Contain a description and analysis of selected
    cases containing new or relevant information and
    grouped by SOCs
  • Describe criteria used to select cases for
    presentation
  • Consumer and other non-healthcare professional
    reports in separate listings and analysis
  • Solicited reports are handled as from clinical
    trials, clearly identified in analysis

23
2.9 Overall Safety Evaluation
  • Discussion and analysis should be organized by
    SOC
  • Related terms should be reviewed together for
    clinical relevance
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