Title: FDA MEDICAL REVIEW of the IND
1FDA MEDICAL REVIEW of the IND
- Robert Kane, MD
- Medical Officer, DODP, CDER
2Review Activities - 1
- Meetings and Review of commercial/research
protocols - Pre-IND
- IND (phase 1)
- Phase 2 and 3, SPAs
- Pre-NDA
- NDA
- Post Marketing (phase 4)
3IND Review Process
- Prescribed by Law and Regs
- Content and Format of IND (guidances)
- http//www.fda.gov/cder/guidance/index.htm
- http//www.fda.gov/cder/guidance/clin2.pdf
- CFR 312
4Phase 1 IND Review
- Initial dose and schedule selection
- Safety IRB, Consent, monitoring
- Patient population selected
- Process for determining MTD and RP2D
5Phase 1 Clinical Protocol
- Regulatory requirements
- (21 C.F.R. 312.23(a)(6))
- Statement of objectives and purpose
- Investigator information
- Patient inclusion/exclusion criteria
- Study design
- Dosage and administration
- Data collection what and when
- Adverse event procedures
6Sponsor and Investigator Obligations
- Obligations of sponsors and investigators
- Sponsor obligations (21 C.F.R. 312.50)
- Management of IND
- Safety reports
- Transportation/shipment of drug
- Collection of unused drug
- Records maintenance and retention
- Investigators obligations (21 C.F.R. 312.60)
- Assure IRB review and informed consent
- Adherence to protocol
- Adverse event reporting
- Trial supervision
- Records maintenance and retention
7IND Safety Reports 21 C.F.R. 312.32
- Reasonable possibility that the experience may
have been caused by the drug - Disability
- Life-threatening adverse drug experience
- SAE
- Unexpected AE
8Subpart E Drugs Intended to Treat
Life-threatening and Severely- debilitating
Illnesses 21 C.F.R. 312.81)
- Diseases or conditions where the likelihood of
death is high unless the course of the disease is
interrupted - diseases or conditions that cause major
irreversible morbidity - Sponsors are encouraged to consult with FDA on
the applicability of these procedures to specific
products. - Created Fast Track and Priority Review
9IND Exemptions
- Drug product is marketed in the US
- Investigation is not intended to support a new
indication or labeling change - No change in advertising
- Administration - route or dose level or patient
population or other factor that significantly
increases the risks of use?
10Clinical Hold of Studies not Designed to be
Adequate and Well-controlled21 C.F.R. 312.42
- Safety/Investigator Qualification
- Reasonable evidence that this trial (that is not
adequate and well-controlled) is impeding
enrollment to a study that is - Insufficient quantities of drug to conduct a
well-controlled trial as well - One or more other adequate and well-controlled
investigations strongly suggest lack of efficacy
11Overview of Therapeutic Development
Standard
Accelerated
Pre-IND.
IND Filing
NDA Filing
NDA Filing
Pre-clinical
4
1
2
3
Comprehensive multidisciplinary review often with
Advisory Committee discussion
Safety and Phase 4 monitoring
Monitor safety, review new protocols, annual
reports, approve exceptions
Consultation
12NDA
13Basis for New Drug Approval - NDA
- Demonstration of efficacy with acceptable safety
in adequate and well-controlled studies CFR
314 NDA Regulations - Ability to generate product labeling that
- Defines an appropriate patient population for
treatment with the drug - Provides adequate information to enable safe and
effective use prescribing of the drug - Analogous rules for Biologics - BLA
14Adequate and Well-controlledClinical
Investigations
- Required by FDA Regulations
- Defined in CFR 314.126 (NDA regs)
- Clear statement of objectives
- Methods of assessment are well-defined and
reliable - Clearly-described analysis plan
- Valid comparison with control to allow a
quantitative assessment of drug effect - Adequate measures to minimize bias
15 Types of Approval
- Regular approval Clinical benefit
- Accelerated approval Surrogate endpoint (PDUFA
1992) - Endpoint reasonably likely to predict-
- Serious or Life Threatening disease
- Better than existing therapy (if any)
- See Johnson, Williams, Pazdur JCO 2003211404-11.
16Regular Approval Requires Efficacy Endpoints of
Clinical Benefit
- Longer Survival (quantity)
- Easy to measure
- Better Survival (quality)
- Hard to measure
- Effective and Safe in context -
- (Risk / Benefit)
17Quantitative Assessment of Drug Effect
- Adequate sample size/power
- Magnitude of statistically persuasive treatment
effect (effect size) - Internal consistency between centers and between
subgroups - Consistency of secondary endpoints
- Independent substantiation of results
18Time in Development - Days