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Sample Case A

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Title: Sample Case A


1
Sample Case A
2
FSD-204
Case A
  • Concept
  • Novel mechanism for sexual dysfunction
    indication.
  • Case study
  • FSD-204 targets a novel mechanism for the oral
    treatment of female sexual dysfunction
  • Aim is to provide sufficient pre-clinical and
    clinical data to allow a regulatory decision to
    be made on the level of abuse potential of FSD-204

3
Case Overview
Case A
Preclinical
Phase I
Phase II
Phase III
  • Phase I FIH
  • Phase II POC/Dose-Ranging Study (n100)
  • Phase III Pivotal Efficacy Studies
  • Phase I MDT
  • Receptor binding
  • Microdialysis
  • Animal Pharmacology
  • Animal PK
  • CNS Safety Pharmacology

Note company strategy requires early
de-risking of target
Development Program
  • 2 week rat toxicology
  • 2 week dog toxicology

Questions
  • Early Preclinical Assessment
  • Are there any early signals of concern for
    Abuse?
  • Any additional data helpful?
  • Clinical Assessment
  • Review results of Clinical Abuse study
  • Any further work needed?
  • Behavioral Pharmacology
  • Assessment of results of SA
  • Overall conclusion from preclinical assessment
  • Is there a need for a formal clinical assessment
    of abuse?
  • Behavioral Pharmacology
  • Design features of DD and PDW studies
  • Clinical Assessment
  • Review of AE profile from FIH study
  • How to design Clinical study in drug abusing
    patients to maximize value?
  • Behavioral Pharmacology
  • Assessment of results of DD and PDW
  • Design of Self-administration

4
Pharmacology Pharmacokinetics
Case A
  • FSD-204 is a CNS penetrant compound with a novel
    MOA
  • FSD204 is a Receptor X agonist increasing
    intracellular levels of cAMP
  • Receptor X has a distribution restricted to
    DA-ergic areas in the CNS
  • Nucleus Accumbens (NAcc)
  • Dorsal Striatum
  • Cortex
  • FSD-204 binds to no other receptors,ion channel
    or transporter targets typicallyassociated with
    abuse at 10µM(68 affinities tested)
  • Functional activation of receptor X in bothrat
    and human tissue, EC50 3nM
  • From in vivo models of sexual behaviour,
    predicted Ceff 30nM
  • Half-life in rats 4hrs, no active metabolites
    identified in any species evaluated
  • Microdialysis experiments showed increase in DA
    in pre-frontal cortex only and no effect on other
    neurotransmitters investigated

Binding Profile
Receptor Affinity Novel X 1 nM Melatonin M1/2
65nM 5HT1A 80nM Dopamine D2 350nM
FDA Comment
5
Pharmacology Pharmacokinetics
FDA Comment
  • What do we know about the drug so far?
  • FSD-204
  • Binds to a novel receptor which has a
    dopaminergic distribution (reward areas)
  • Binds to D2 receptors with low affinity (Ki 350
    nM) - This interaction may be relevant,
    depending on the therapeutic dose
  • It does not bind to other receptors associated
    with abuse at high concentration
  • Increase in DA seen only in the PFC with
    microdialysis may be relevant to the overall
    activity
  • Preliminary effective dose and limited PK in rats
  • What else do we need to know at this point?
  • Knowledge of the structure activity relationship
    (SAR) of the drug. What do we know about the
    drug and other analogs?
  • Binding profile of the main metabolites
  • How the interaction of FSD-204 at the receptor
    level translates into the overall activity of the
    drug
  • Stimulant?

6
Preclinical safety studies
Case A
  • Rat neurofunctional assessment (FOB) small, but
    significant, increase in spontaneous locomotor
    activity/rearing at 100 and 300nM
  • No effect in other safety pharmacology studies
  • Toxicology studies
  • Dog seizures observed following multiple dosing
    (at free plasma levels of 200nM)
  • Rodent lethality at free concentrations of
    400nM.
  • No other organ toxicities observed

7
Questions on preclinical pharmacology
Case A
  • From the preclinical data provided what, if any,
    concerns would be raised on the possible abuse
    potential of FSD204?
  • Are any further preclinical data required for
    interpretation?
  • Would a change in spontaneous locomotor activity
    alter the subsequent preclinical strategy for
    abuse potential assessment, and if so, how?
  • Are hypoactivity and hyperactivity viewed
    differently in terms of requirements for a
    subsequent preclinical AP assessment?

8
Q1 From the preclinical data provided, what,
if any, concerns would be raised on the possible
abuse potential of FSD-204?
FDA Comment
  • Functional Observation Battery (FOB)
  • More than one observation time point is
    recommended including that of maximum plasma
    concentration (Tmax)
  • Information on all parameters evaluated and
    methods used should be submitted (rearing,
    crouched posture, arousal, hind limb splay,
    handling reactivity, rotarod test, etc)
  • Toxicology
  • Seizures in dogs at 200 nM. Safety concern
    associated with the intake of high doses for
    abuse purposes
  • FSD-204 seems to produce behaviors consistent
    with the actions of a stimulant.

9
FDA Comment
Q2 Are any further preclinical data required for
interpretation?
  • Drug discrimination and self administration
    studies are recommended

10
Q3 Would a change in spontaneous locomotor
activity alter the subsequent preclinical
strategy for abuse potential assessment, and if
so, how?
FDA Comment
  • An increase in spontaneous locomotor activity
    suggests a stimulant profile and the possibility
    of abuse potential
  • A decrease in spontaneous locomotor activity
    suggests a sedative profile and the possibility
    of abuse potential
  • Thus, a change in locomotion would suggest the
    necessity for animal abuse studies (such as drug
    discrimination or self-administration)

11
Q4 Are hypoactivity and hyperactivity viewed
differently in terms of requirements for a
subsequent preclinical AP assessment?
FDA Comment
  • Both behavioral responses indicate the need for
    abuse potential assessments in animals
  • Hypoactivity suggests activation of receptors
    associated with depressant drugs (GABA, opioid,
    etc.)
  • Hyperactivity suggests activation of receptors
    associated with stimulant drugs (dopamine
    reuptake inhibition, dopamine release, etc.)

12
Preclinical Pharmacology Drug Discrimination
Case A
  • What does the Agency see as the role of DD in AP
    assessments? Does it have a use beyond selecting
    the training drug for SA studies?
  • Drug discrimination studies performed in
    Morphine, Cocaine and Diazepam trained rats
  • 3 doses of FSD204 and vehicle (n8), with maximum
    dose targeting 3xCeff
  • Route of administration chosen based solely on
    achieving target exposures
  • Results
  • Partial generalization (30-40) to cocaine and
    morphine
  • In designing the study, should other factors be
    considered in choosing the route of
    administration?
  • Is the multiple of 3xCeff sufficient? If not
    what criteria should be used to set the dose
    range?

  • From these results how should the SA training
    drug be chosen?

13
Q5 What does the Agency see as the role of drug
discrimination in abuse potential assessments?
Does it have a use beyond selecting the training
dose for self-administration studies?
FDA Comment
  • Drug discrimination determines whether Drug X
    produces an interoceptive cue in an animal that
    is similar to the training drug. Thus,
    generalization by Drug X to training drug is only
    predictive of abuse potential if the training
    drug is a known drug of abuse
  • A negative signal in drug discrimination (even
    against a range of training drugs known to have
    abuse potential) does not inherently mean Drug X
    has no abuse potential. A unique mechanism of
    action in the brain may mean a unique abuse
    potential profile dissimilar to those of other
    drugs of abuse
  • Doses used in drug discrimination typically
    produce plasma levels similar to those produced
    by the therapeutic dose
  • Choice of training drug is difficult when Drug X
    acts by a novel mechanism

Hmm?
14
Q6 In designing the study, should other factors
be considered in choosing the route of
administration?
FDA Comment
  • Typically, the route of administration for drug
    discrimination studies is intraperitoneal
  • The route of administration should simulate the
    pharmacokinetic exposure in humans

15
Q7 Is the multiple of 3xCeff sufficient? If not
what criteria should be used to set the dose
range?
FDA Comment
  • The clinically effective dose is unknown at Phase
    1
  • Frequently, the clinically effective dose is
    found to be much higher (and sometimes much
    lower) than initially predicted by the
    preclinical studies
  • Ideally abuse potential studies should not be
    conducted until Phase 2 studies are completed
  • Animal abuse potential studies may need to be
    repeated if the doses used are not representative
    of final human therapeutic doses

16
Q8 From these results how should the
self-administration training drug be chosen?
FDA Comment
  • Doses are typically lower than therapeutic doses
    to prevent overdose in animals when the drug is
    self-administered repeatedly
  • However, a range of doses should be tested in
    self-administration to ensure that potentially
    rewarding plasma levels are achieved during the
    trial

17
Preclinical Pharmacology - Physical Dependence
Withdrawal
Case A
  • Design
  • Male rats (n8) dosed once daily (p.o., clinical
    route) for two weeks
  • Dose at Cmax of 3xCeff in humans
  • Plasma levels measured at 24 hr post-dose are
    below predicted Ceff but above Ki for Receptor X
  • Cocaine as positive control (FSD shows mild
    stimulant profile) and vehicle group
  • Endpoints measured before, during and up to 4
    days following drug discontinuation (8, 24, 32,
    48, 72 and 96 hr)
  • Body weight and food consumption
  • Behavioral scoring of discontinuation signs and
    symptoms, including presence/absence of
    salivation, jumping, wet dog shakes, head shakes,
    paw shakes, abnormal posture, abdominal
    constriction, teeth chattering, tremors, genital
    licking, rearing, hyperactivity, retropulsion,
    sniffing, stretching, scratching, burying,
    grooming, pilo-erection

18
Preclinical Pharmacology - Physical Dependence
Withdrawal
Case A
  • Result
  • No tolerance or withdrawal signs observed after
    discontinuation of FSD204
  • Cocaine showed tolerance to behavioural effects
    and significant weight loss following
    discontinuation

FDA Comment
19
Preclinical Pharmacology - Physical Dependence
Withdrawal
FDA Comment
  • Animals
  • If the indication is for females only, studies
    should include female animals
  • Observation times
  • Observation times should be based on the PK
    parameters of the drug for the species used and
    should be of a long enough duration to detect
    behaviors
  • All behaviors should be noted and not limited to
    a set list of behaviors of interest. Unexpected
    results may alter the understanding of the drugs
    actions
  • Video recording of animals during the study might
    be helpful
  • More frequent observations within the first 8
    hours following drug discontinuation are
    recommended
  • Tolerance is not directly related to physical
    dependence

20
Questions on PDW study design
Case A
  • Is cocaine the appropriate positive control?
  • Are the endpoints sufficient to assess PDW? If
    not,how should appropriate endpoints be
    selected?
  • Should both a positive and negative control group
    beincluded if in-house data is available to show
    validation of the cocaine PDW model?
  • Is dosing for 14 days by the clinical route
    adequatefor the non-clinical assessment of PDW?
  • What other factors should be considered when
    selecting the route of drug administration for a
    PDW study?
  • Is there a need to target sustained
    pharmacologicalexposures, or is it sufficient to
    achieve this transiently?

21
Q9 Is cocaine the appropriate positive control?
FDA Comment
  • FSD-204 is reported to be a mild stimulant, so
    methylphenidate may have been a better positive
    control than cocaine in dependence and withdrawal
    studies
  • The Sponsor can propose any drug as a positive
    control, but must justify the selection

22
Q10 Are the endpoints sufficient to assess
physical dependence and withdrawal? If not, how
should appropriate endpoints be selected?
FDA Comment
  • Withdrawal behaviors known to be associated with
    the drug class should be observed during
    discontinuation
  • For a drug with novel mechanism of action, a
    number of withdrawal behavior checklists derived
    for various classes of drugs may be useful in
    establishing which behaviors to look for during
    Drug X discontinuation
  • The presence of physical dependence (withdrawal
    behaviors following drug discontinuation) is not
    sufficient to indicate abuse potential
  • However, full characterization of a drugs abuse
    potential does require assessment of physical
    dependence

23
Q11 Should both a positive control and a
negative control group be included if in-house
data is available to show validation of the
cocaine physical dependence and withdrawal
model?
FDA Comment
  • The data reported for cocaine did not show any
    weight loss during the drug administration phase.
    Given that stimulants are known to reduce
    feeding and to reduce body weight, this suggests
    that the dose of cocaine used was not high enough
  • A positive control is used to validate the study.
    A placebo is the only necessary negative control

24
Q12 Is dosing for 14 days by clinical route
adequate for the non-clinical assessment of
physical dependence and withdrawal?
FDA Comment
  • Duration of exposure needed depends on the PK of
    the drug
  • Appropriate duration of drug administration prior
    to assessing withdrawal is based on elimination
    half-life
  • For most drugs, a 14-day duration of drug
    administration should be sufficient. However,
    for drugs with half-lives that are relatively
    long, additional drug dosing may be necessary
    prior to discontinuation

25
Q13 What other factors should be
considered when selection of the route of drug
administration for a physical dependence and
withdrawal study?
FDA Comment
  • Half-life determines duration of the drug
    discontinuation observation period
  • The observation period should extend to at least
    3-7 days, or longer if the drug is known to be
    eliminated slowly

26
Q14 Is there a need to target sustained
pharmacological exposures, or is it sufficient to
achieve this transiently?
FDA Comment
  • Drug exposure should parallel exposure in
    clinical populations
  • This may depend on the intended use of the drug
    and the PK parameters of a drug. For instance, a
    drug may be intended for chronic use if steady
    state levels of drug are needed for optimal
    clinical benefit
  • If the drug product is controlled- or
    sustained-release, then a mini-pump may be an
    appropriate method for delivering drug to an
    animal in the physical dependence study
  • If the drug produces pharmacokinetics that peak
    and trough across the day, then the animal drug
    administration should attempt to produce a PK
    profile that is as similar as possible

27
Preclinical Pharmacology I.V.
Self-administration
Case A
  • Rats (n8) trained to respond for cocaine under
    FR3
  • Responding extinguished until stable and lt50 of
    cocaine infusion rates
  • Test FSD-204 (3 doses vehicle with highest dose
    targeting 3xCeff)
  • Each dose available for minimum of 3 days until
    responding stable
  • Randomized order within animal design

28
Preclinical Pharmacology I.V.
Self-administration
Case A
  • Data

FDA Comment
29
Preclinical Self-Administration
FDA Comment
  • Animal self-administration studies measure two
    related aspects of abuse potential
  • Reward If the drug produces a positive measured
    effect in a self-administration study for a
    limited time period, this may suggest that the
    drug can be abused by a human on a single
    occasion
  • Reinforcement over time If the drug maintains a
    positive measured effect in a self-administration
    over extended periods of time, this may suggest a
    drug can be abused by a human on multiple,
    closely-spaced occasions
  • If a drug produces self-administration in early
    trials (showing that it has rewarding
    properties), this may suggest that the drug can
    be used successfully by humans on an acute basis
    to produce a high and that the drug may have
    human abuse potential

30
FDA Comment
Preclinical Self-Administration
  • The inability of a drug to produce reinforcement
    following initial indication of reward does not
    negate the abuse potential signal. In terms of
    public health, non-chronic use of an abusable
    drug might be relevant
  • Typically a FR10 schedule of reinforcement is
    used
  • Doses should proceed from low to high. If
    animals are exposed to high doses first, they may
    not self-administer the low doses as readily
  • A negative result in
    self-administration studies does not always
    indicate lack of abuse potential
  • Animals typically do not self-administer 5-HT2
    agonist hallucinogens, cannabinoids, NMDA
    antagonists, and other drugs that produce
    effects broadly characterized as psychedelic

31
Preclinical Pharmacology Self-administration
Case A
  • Design
  • Are rats an appropriate species for self
    administration studies?
  • Are there specific criteria which must be met to
    justify the use of the rat for abuse potential
    assessments?
  • Data
  • When rats are given the opportunity to
    self-administer FSD-204, they respond for 2-3
    days in a burst extinction pattern for the high
    dose only. How is this viewed? Is there a
    minimum number of sessions that each dose of the
    test drug should be available for?
  • When responding stabilizes, no increase in
    infusion rates above vehicle is observed. Does
    this change the interpretation?
  • It is normal practice to present rat data as
    grouped means. Does the Agency agree that this
    is sufficient for such data?

32
Q15 Are rats an appropriate species for
self-administration studies?
FDA Comment
  • Rats are an appropriate species for
    self-administration studies. Rats might be
    advantageous when a large number of animals are
    required, or in studies where drug naïve animals
    are necessary
  • Some researchers may justify conducting
    self-administration studies in non-human
    primates, based on their scientific expertise and
    the type of drug being studied (examples
    ethylketazocine, modafinil)

33
Q16 Are there specific criteria which must be
met to justify the use of the rat for abuse
potential assessments?
FDA Comment
  • The drug must cross the blood-brain barrier of
    the rat
  • If the drug produces a high degree of vomiting in
    humans, rodents may be an inappropriate species
    because they do not have an emetic response

34
Q17 When rats are given the opportunity to
self-administer FSD-204, they respond for 2-3
days in a burst-extinction pattern for the high
dose only. How is this viewed? Is there a minimum
number of sessions that each dose of the
testdrug should be available for?
FDA Comment
  • If animals fail to maintain initially high levels
    of self-administration for a drug despite
    continued access, this can be interpreted in a
    variety of ways
  • development of tolerance
  • the drug has long-lasting effects and the
    preferred level of effect does not require
    further self-administration
  • inhibition of metabolism, which can also lead to
    prolongation of the rewarding effects
  • development of negative effects
  • A burst-extinction pattern may indicate that
    the drug has rewarding properties on an acute
    basis, which is suggestive of human abuse
    potential
  • Duration of exposure should be at least 3-5 days

35
Q18 When responding stabilizes, no
increase in the infusion rates above vehicle is
observed. Does this change the interpretation?
FDA Comment
  • The drug appears to have rewarding properties on
    an acute basis

36
Q19 It is normal practice to present rat data as
grouped means? Does the Agency agree that this is
sufficient for such data?
FDA Comment
  • Group means with SEM bars is adequate. However,
    data may also be presented as scattergrams or
    other methods of representing individual data in
    conjunction with the overall mean

37
Preclinical summary
Case A
  • Overall, no positive signals were observed in the
    drug discrimination, physical dependence and
    withdrawal, or self-administration studies.
  • Does the Agency agree with this assessment given
    the non-clinical data supplied?

38
Q20 Does the Agency agree with the assessment
that no positive signals were observed in the
drug discrimination, physical dependence and
withdrawal or self-administration studies given
the non-clinical data supplied?
FDA Comment
  • Under the conditions of the study,
    self-administration data show that the drug may
    produce rewarding effects on an acute basis,
    which is suggestive of human abuse potential
  • Interpretation of data from animal abuse
    potential studies requires review of full
    protocols and full individual and mean datasets

39
Proposed Safety Monitoring in Clinical Program
Case A
  • All clinical trials will include routine
    collection of AEs, with special attention to CNS
    effects

FDA Comment
40
FDA Comment
Proposed Safety Monitoring in Clinical Program
  • Proactive collection of CNS AEs is necessary
  • Points to consider for collecting AE data of
    specific interest
  • Correlate AEs with known or suspected mechanism
    of action
  • Thoroughly review the literature for drugs with
    similar mechanisms of action or targets
  • Probing questions should be considered when
    evaluating adverse events that are spontaneously
    reported (The terms on the following slides
    should be considered)
  • More frequent/longer evaluations of AEs should be
    included until the PK is more fully characterized
  • Prospective questionnaires should be used in
    later phases of development

41
Abuse-Related Adverse Event Terms
FDA Comment
  • This compilation of terms is based on our
    experience to date and is not intended to be
    inclusive of all possible abuse-related MedDRA
    terms. Also, not all groups of terms will apply
    to every drug under development
  • Most terms are listed under General,
    Neurological, and Psychiatric Disorders High
    Level Groupings
  • The list includes
  • Specific terms that are in the MedDRA dictionary
  • Frequently used verbatim terms, words or phrases

42
Euphoria-related terms
FDA Comment
  • Euphoric mood euphoria, euphoric, exaggerated
    well-being, excitement excessive, feeling high,
    felt high , high , high feeling, laughter
  • Elevated mood mood elevated, elation
  • Feeling abnormal cotton wool in head, feeling
    dazed, feeling floating, feeling strange, feeling
    weightless, felt like a zombie, floating feeling,
    foggy feeling in head, funny episode, fuzzy,
    fuzzy head, muzzy head, spaced out, unstable
    feeling, weird feeling, spacey
  • Feeling drunk drunkenness feeling of, drunk-like
    effect, intoxicated, stoned, drugged
  • Exclude terms that clearly are not pertinent
    or relevant such as high blood pressure,
    respiratory depression, etc.

43
Euphoria-related terms (cont.)
FDA Comment
  • Feeling of relaxation Feeling of relaxation,
    feeling relaxed, relaxation, relaxed, increased
    well-being, excessive happiness
  • Dizziness dizziness and giddiness, felt giddy,
    giddiness, light headedness, light-headed,
    light-headed feeling, lightheadedness, swaying
    feeling, wooziness, woozy
  • Thinking abnormal abnormal thinking, thinking
    irrational, wandering thoughts
  • Hallucination (auditory, visual, and all
    hallucination types), illusions, flashbacks,
    floating, rush, and feeling addicted

44
Terms associated with drugs of abuse related to
mood, impaired attention, psychomotor events
cognition
FDA Comment
  • Somnolence groggy, groggy and sluggish, groggy
    on awakening, stupor
  • Mood disorders and disturbances mental
    disturbance, depersonalization, psychomotor
    stimulation, mood disorders, emotional and mood
    disturbances, deliria, delirious, mood altered,
    mood alterations, mood instability, mood swings,
    emotional lability, emotional disorder, emotional
    distress, personality disorder, impatience,
    abnormal behavior, delusional disorder,
    irritability
  • Mental impairment disorders memory loss (exclude
    dementia), amnesia, memory impairment, decreased
    memory, cognition and attention disorders and
    disturbances, decreased concentration, cognitive
    disorder, disturbance in attention, mental
    impairment, mental slowing, mental disorders
  • Drug tolerance, Habituation, Drug withdrawal
    syndrome, Substance-related disorders

45
Dissociative/Psychotic Terms
FDA Comment
  • Psychosis psychotic episode or disorder
  • Aggressive hostility, anger, paranoia
  • Confusion and disorientation confusional state,
    disoriented, disorientation, confusion,
    disconnected, derealization, dissociation,
    detached, fear symptoms, depersonalization,
    perceptual disturbances, thinking disturbances,
    thought blocking, sensation of distance from
    one's environment, blank stare, muscle rigidity,
    non-communicative, sensory distortions, slow
    slurred speech, agitation, excitement, increased
    pain threshold, loss of a sense of personal
    identity

46
Clinical Evaluation
Case A
  • If there is agreement that FSD-204 is not
    self-administered by rats and no withdrawal signs
    have been observed, are there circumstances under
    which a Clinical Abuse Potential study in drug
    abusing subjects would not be required?
  • Are there thresholds for requiring a Clinical
    Abuse Potential study?

47
Q21 If there is agreement that FSD-204 is not
self-administered by rats and no withdrawal signs
have been observed, are there circumstances under
which a Clinical Abuse Potential study in drug
abusing subjects would not be required?
FDA Comment
  • The self-administration data show that the drug
    may produce rewarding effects on an acute basis,
    suggestive of human abuse potential
  • Data regarding behaviors observed during the drug
    discontinuation period is needed to conclude that
    no withdrawal signs have been observed
  • A clinical abuse potential study would not be
    necessary if
  • The NME is not CNS active
  • A narrow safety margin is determined
  • No signals suggestive of abuse potential are
    identified in Phase I and II studies

48
Q22 Are there thresholds for requiring a
Clinical Abuse Potential study?
FDA Comment
  • NMEs that are CNS-acting require a human abuse
    potential study if there are positive signals
    from the preclinical data or the clinical AE
    profile in Phase 1 and 2 signals abuse potential
  • For known drugs of abuse that are already
    scheduled under the CSA, a novel formulation may
    require additional abuse potential studies,
    depending on the adverse event profile observed
    during clinical efficacy trials
  • Sponsors may plan to conduct clinical abuse
    potential studies when moving into Phase 3
    studies. This approach will allow for selection
    of appropriate comparator drug(s), subject
    population, dose selection, and timing/duration
    of assessments

49
AE Profile of FSD-204 following FIH
studyEscalating doses (3, 10, 25, 50, 100mg)
Case A
  • Treatment emergent Adverse Events  (8
    subjects/FSD group)

FDA Comment
50
AE Profile of FSD-204 following FIH Study
FDA Comment
  • Given the non-existence of hallucinations in the
    placebo group, the rate of hallucination (n1 of
    40) in FSD-204 treated subjects is concerning
    when extrapolated to the clinical population or
    to a drug-abusing population who may use
    supratherapeutic doses
  • Hallucinations should be actively monitored in
    all further clinical studies to determine whether
    this AE has clinical relevance
  • Terms such as dizziness and somnolence are
    somewhat vague and do not always capture the
    true experience of the adverse event.
    Occasionally the verbatim term does not directly
    map to a preferred term. Attempts should be made
    to accurately capture all adverse events

51
If Clinical Abuse Potential Study is needed
Case A
  • Company strategy necessitates early de-risking
    of program prior to initiating large studies
    (Phase 2 and 3)
  • Should a Clinical Abuse Potential study be
    needed, it will be conducted prior to Phase 2
    (dose ranging) -before effective dose is fully
    identified.
  • Can the Agency offer any advice regarding dose
    selection or other study design features to
    maximize chances of this study being an adequate
    evaluation in drug abusing population for
    registration?

52
Q23 Can the Agency offer any advice regarding
dose selection or other study design features to
maximize chances of this study being an adequate
evaluation in drug abusing population for
registration?
FDA Comment
  • Individuals enrolled into abuse potential studies
    are healthy subjects
  • Phase 1 studies can provide signals suggestive of
    abuse potential, depending on doses studied,
    subject population, and AE evaluation
  • Phase 2 dose-ranging studies will provide the
    best estimate of the therapeutic dose but only
    Phase 3 studies will provide the final data
  • All study phases contribute to the AE data base.
    The greater the number of subjects/patients
    exposed to different doses, the greater the
    ability to construct an accurate AE profile
    related to abuse potential. This profile allows
    the identification of the appropriate drug
    history for subjects in abuse potential studies,
    comparator drugs, and safety issues for the
    proposed doses

53
Q23 Can the Agency offer any advice regarding
dose selection or other study design features to
maximize chances of this study being an adequate
evaluation in drug abusing population for
registration? (cont)
FDA Comment
  • Prospective assessments such as subjective
    questionnaires may be included in Phase 1 study
    design to obtain additional information that
    should be monitored in Phase 2/3 studies
  • Since human abuse potential studies typically use
    doses that are 2-3 times the highest proposed
    therapeutic dose for any indication, it is not
    advisable to conduct a human abuse potential
    study until Phase 2 clinical trials have been
    initiated with the proposed therapeutic doses
  • Communication is encouraged between the
    preclinical and clinical scientific staff of a
    company so that each group is aware of abuse
    potential studies being conducted and results
    that are observed

54
Study Design Issues
Case A
  • FSD-204 has a novel mechanism of action how to
    select the appropriate comparator
  • Potential drivers for selection include
  • Mechanism and/or receptor profile
  • Adverse event profile (stimulant vs. sedative)
  • Indication (compare to predominant class used to
    treat disorder)
  • Can the Agency comment on the relative importance
    of these criteria in selecting a comparator?
  • How should patients be selected for FSD-204?
    (i.e. should they be stimulant preferring
    patients?)

55
Q24 Can the Agency comment on the relative
importance of these criteria mechanism, AE
profile, indication in selecting a comparator?
FDA Comment
  • The choice of a positive control for an NME,
    especially a first-in-class NME, with a novel
    mechanism of action can be challenging.
  • All available data (receptor profile, AEs, and
    similar drugs if available) should be used to
    determine a comparator
  • The AE profile observed in Phase 1 and Phase 2
    studies provides some of the best information on
    which to design a study and select a comparator
  • A drug administered via different routes
    (insufflated vs oral) may have a greater risk of
    abuse. These comparisons (the drug against
    itself in different dosage forms) pose a much
    greater challenge for which we do not have an
    answer

56
Q25 How should patients be selected for
FSD-204? (i.e., should they be stimulant
preferring patients)?
FDA Comment
  • The drug history of the individuals recruited
    should include use of drugs that produce effects
    that most closely parallel those produced by Drug
    X
  • Individuals should have used the drug class of
    interest in the past year and state a preference
    for that drug class. It may be advisable that the
    study design include a pre-qualification phase

57
Additional Background
Case A
  • Projected top dose to test in FIH based upon
    toxicology results in most-sensitive species
    100mg
  • established based upon acceptable margins to
    seizures in dogs and death in rodents.
  • Sponsor and FDA reviewing Division agree that
    escalation beyond 100mg is not acceptable in
    healthy volunteers or FSD patients.
  • FIH study completed with top dose of 100mg
    Linear PK up to 100mg established in multiple
    dose study
  • AE profile from FIH and multiple dose tolerance
    were similar and dose-related
  • 100mg was not an MTD, but dose escalation stopped
    due to exposure limits

58
Additional Background
Case A
  • Need to de-risk development program early (during
    Phase 1)
  • Clinical abuse potential study
  • Doses tested 40mg, 90mg
  • Results Small but non-significant group mean
    increase in Liking and Good Drug Effects at
    top dose of FSD-204 (2/20 subjects vs. 1/20 in
    placebo control drove group mean effect)
  • At top dose (90mg) there were not many subjective
    effects in drug abusing patients
  • Subsequent Phase 2 dose ranging indicates that
    effective dose is 80mg. We expect this to be
    the marketed dose. No hallucinations were
    reported in phase II study (n200 FSD-204
    exposures).
  • Is there a need to do any additional abuse
    potential testing in drug abusing patients
    given the exposure limit and findings in the
    subjective effects study and given that a dose
    2-3x higher than the likely therapeutic dose has
    not been tested, ? (i.e. would there be a need
    to explore higher dose range in drug abusing
    patients in an additional study, despite the
    exposure ceiling?)

59
Q26 Is there a need to do any additional abuse
potential testing in drug abusing patients
given the exposure limit and findings in the
subjective effects study and given that a dose
2-3x higher than the likely therapeutic dose has
not been tested? (i.e. would there be a need to
explore a higher dose range in drug abusing
patients in an additional study, despite the
exposure ceiling?)
FDA Comment
  • The phrase not many subjective effects in drug
    abusing patients cannot be evaluated.
    Subjective effects in even 1 or 2 subjects may be
    a sufficient signal, given the relatively low
    number of subjects enrolled in these studies
  • A narrow therapeutic window represents a great
    risk for patients who inadvertently might
    increase the dose, and for those who take the
    drug for abuse purposes

60
Identified areas in need of further research
  • Validation of questionnaires to capture
    subjective effects in early phases of development
  • Development of criteria for the identification,
    coding and reporting of AEs that may signal abuse
    potential, abuse, misuse, addiction
  • The design of studies that would allow the
    systematic evaluation of the abuse potential of
    novel formulations of drugs with known abuse
    potential
  • Development of a standardized battery of tests to
    assess the physicochemical properties of
    abuse-deterrent formulations (ADF) of known
    drugs of abuse
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