Title: POSTMARKETING SAFETY STUDIES
1POST-MARKETING SAFETY STUDIES -- NEED FOR
IMPROVEMENT
Curt D. Furberg, MD, PhD Professor, Division of
Public Health Sciences Wake Forest University
School of Medicine Winston-Salem, NC
2008
2Outline
- Public health burden of serious adverse drug
events - Reactions to our drug safety system
- Pre-approval drug evaluation
- Post-marketing safety evaluation
- Potential solutions
3Serious Adverse Drug Events-- The Magnitude --
- Approximately 100,000 drug-induced deaths/yr or
the fifth leading cause of death - Serious adverse drug events account for an
estimated 3-6 of all hospital admissions - Approximately 700,000 patients go to an Emergency
Department for drug-induced, related adverse
events - Enormous human and societal costs
4Serious Adverse Drug Events-- Time Trends --
- From 1998 through 2005, 2.6-fold increase (from
35,000 to 90,000) - Reported events increased faster than number of
prescriptions - Biotechnology products the worst
- 300 drugs accounted for 87 of all reported events
Moore et al., Arch Intern Med 20071671752-9
5Sources of Drug Safety Information
- Pre-approval
- Phase 2 and 3 trials
- Post-approval
- Phase 4 trials
- MedWatch (N 422,889 in 2004)
- International data
6Asymmetry in the Evaluation
- Approval is contingent on evidence of efficacy
from well-designed and adequately powered
clinical trials - Such trials are generally not designed to test
specific hypotheses about safety and measure
adverse events (AEs) with any pre-specified level
of sensitivity - The pre-market safety evaluation is often
exploratory
7Major Commentaries
- Drug Safety Improvement Needed in FDAs
Postmarket Decision-Making and Oversight Process,
United States GAO - FDAs Monitoring of Postmarketing Study
Commitments, DHHS Office of Inspector General,
2006 - IOM report - Washington, DC National Academies
Press, 2006. - Congressional Hearings and Bills
8Assessment of the US Drug Safety System (the IOM
Report)
- Recommendations (n25)
- A culture of safety (n5)
- The science of safety (n13)
- Regulatory authorities for drug safety (n4)
- Communication about safety (n2)
- Resources for the drug safety system (n1)
Institute of Medicine of the National Academies
Press, Washington, DC, 2006
9(No Transcript)
10Pre-Approval Phases
- Phase 1 Studies Drug cautiously given to small
group of healthy volunteers (absorption,
metabolism, excretion, early indications) - Phase 2 Studies Beneficial and adverse effects,
and dosing in a few hundred patients with the
targeted condition - Phase 3 Trials Comparative trials to determine
benefit vs. harm involving thousands of patients.
Intended for regulatory approval and marketing
11Pre-Approval Requirements
- New drugs intended for long-term use in non-life
threatening conditions - A minimum of 1,500 patients exposed
- - 300 to 600 for 6 months
- - 100 for a year
- Limits good evidence to symptomatic
improvement, surrogate efficacy and common side
effects
12 Problems
- Insufficient patient safety information for
decision-making (approval) the norm - Limited safety data for populations most likely
to be future users (elderly, those with
co-morbidities) - Inadequate FDA review of design of studies for
NDAs to achieve optimal detection of safety
problems - Safety signals, even when recognized, often not
actively pursued
13Consequences
- Unsafe drug approved for marketing
- More than half have serious adverse drug events
detected after approval - 10 have Black Box Warning added
- Average number of patients exposed prior to
withdrawal approximately 4 million - Vioxx exposed to 20 million patients
- Strained resources
14Prescription Drug User Fee Act (PDUFA)
- In 1992, PDUFA authorized user fees to speed up
the drug approval process - FDA prohibited from using fees for all drug
safety activities until 2002 - Under PDUFA, median review times declined -
Review goals 90 of priority NDAs lt 6 months, lt
10 months for standard - US is now the first country of launch - 2 (1980)
to 60 (1998)
15Solutions Pre-Approval
- More drug safety information -
- - Larger and longer trials
- - More relevant study populations
- More thorough FDA review of protocol design
- Proactive FDA pursuit of safety signals
- Conditional approval, if safety problems
suspected
16Post-market Commitments
- Today, 73 of new drugs have commitments agreed
to by sponsors - Often multiple commitments by product
- First commitment was for levodopa (1970)
- Therapeutic breakthrough for symptomatic
relief no cure, so concerns for long-term
safety
17Progress Report
Federal Register, April 24, 2008
18Problems
- Approval decisions rushed
- Unmet commitments for safety trials the norm
- No penalties for failure to comply with
post-approval study commitments - FDA lacks enforcement tools to leverage
compliance - FDAs historic post-marketing safety surveillance
system is passive, insensitive and incomplete - High threshold of safety threat needed before FDA
considers action (black box or withdrawal)
19Solutions
- Unmet safety commitments by manufacturers should
be grounds for drug withdrawal - Authority to impose meaningful penalties for
failing to conduct safety trials - Proactive post-marketing safety surveillance
- Lower threshold for FDA actions
20New Authority and Enforcement Tools
- FDA gets the authority to require postmarketing
studies to identify or assess potential serious
risks - FDA can also initiate timely label changes or new
postmarketing studies - FDA may also use Risk Evaluation and Mitigation
Strategies to ensure benefits outweigh risks - Failure to comply may result in a determination
of misbranding or escalating civil penalties
Psaty Korn, JAMA 20072982185-7
21Access to Data and Active Surveillance
- FDA required to establish an active postmarketing
risk identification system - The system is to include 25 million patients by
July 1, 2010, and 100 million by July 1, 2012 - FDA to develop validated methods for the timely
identification of adverse events and potential
drug safety signals - Congress allocated 25 million per year
Psaty Korn, JAMA 20072982185-7
22Resources
Although the IOM committee expressed a strong
preference for increased resources from general
revenues, Congress retained the user-fee approach
and provided the agency with additional fee
revenues for drug safety, increasing from 25
million in 2008 to 65 million in 2012.
Psaty Korn, JAMA 20072982185-7
23Opportunities at WFUBMC
- An established data warehouse at WFUBMC would
allow studies to - Investigate associations between genetic markers
and treatment effects - Improve quality of care (identification of
patients taking disease-inducing drugs) - Verify potential safety signals
- Collect long-term safety data
24Conclusions
- Current drug safety system inadequate
- Modest improvements underway
- Proactive safety evaluations needed
- Database studies hold promise