Title: CFC Essential Use Status of Albuterol: Medical Considerations
1CFC Essential Use Status of AlbuterolMedical
Considerations
- Pulmonary-Allergy Drugs Advisory Committee
Meeting June 10, 2004 - Eugene J. Sullivan, MD, FCCP
- Deputy Director
- Division of Pulmonary Drug Products
- CDER, FDA
Center for Drug Evaluation and Research
2Overview
- Background
- Currently marketed albuterol MDI products
- Essential use criteria
- Other issues
3Background
- Dr. Meyer has provided background on the Montreal
Protocol, and the FDA regulation concerning the
essential use determinations (21 CFR 2.125) - The Agency is currently considering whether
albuterol has met the criteria for removal from
the list of essential uses for CFCs - In keeping with the goals of the Montreal
Protocol - Phase out of production and importation of
ozone-depleting substances (ODSs), including CFCs - Approximately ½ of the annual US CFC essential
use allocation is for albuterol - Two alternative, non-CFC albuterol MDIs are
currently marketed in the US - Citizen Petition from US Stakeholders group
4Currently Marketed Albuterol MDIs
- CFC MDIs
- CFCs are Ozone Depleting Substances (ODS)
- Proventil (Schering-Plough)
- approved 1981
- Warrick product also marketed under this NDA
- Generic versions
- Four approved (first approved 1995), three
marketed - Non-CFC MDIs
- Non-ODS. HFA-134a does not affect the ozone layer
- Proventil HFA (3M/Schering-Plough)
- Approved and began marketing in 1996
- Ventolin HFA (GlaxoSmithKline)
- Approved in 2001, and marketed since 2002
5Essential Use Criteria (21 CFR 2.125)
- 21 CFR 2.125
- Use of ozone-depleting substances in foods,
drugs, devices, or cosmetics - Lists specific drug moieties for which the use of
CFCs is considered essential - Sets 4 criteria that must be met in order to
remove a drug moiety from the list of essential
uses
6Essential Use Criteria (21 CFR 2.125)
- These four criteria are
- At least 2 non-ODS products that contain the same
active moiety are being marketed with the same
route of delivery, for the same indication, and
with approximately the same level of convenience
of use as the ODS products (For active moieties
represented by 2 NDAs) -
Slide 1 of 2
7Essential Use Criteria (21 CFR 2.125)
- These four criteria are
- Supplies and production capacity for the non-ODS
products exist or will exist at levels sufficient
to meet patient need - Adequate US post-marketing use data is available
for the non-ODS products - Patients who medically require the ODS product
are adequately served by the non-ODS products
containing the active moiety and other available
products -
Slide 2 of 2
8Essential Use Criteria (21 CFR 2.125)
- At least 2 products containing the same
active moiety, with the same route of delivery,
for the same indication, and with approximately
the same level of convenience of use - Same active moiety albuterol
- Same route of delivery oral inhalation
- Same indication prevention and relief of
bronchospasm in patients 4 12 years of age and
older with reversible obstructive airway disease
and the prevention of exercise-induced
bronchospasm -
Slide 1 of 2
9Essential Use Criteria (21 CFR 2.125)
- At least 2 products with the same route of
delivery, for the same indication, and with
approximately the same level of convenience of
use - Same level of convenience
- Portability
- Preparation before use
- Cleaning of actuator to prevent clogging
- Physical effort/ dexterity
-
Slide 2 of 2
10Essential Use Criteria (21 CFR 2.125)
- Supplies and production capacity for the non-ODS
products exist or will exist at levels sufficient
to meet patient need - Somewhat difficult because manufacturers (GSK and
3M) would need time to ramp up production - GSK has stated that it is confident that
additional internal and external capacity can be
installed to ensure adequate supplies and
production capacity for Ventolin HFA and that
this could be accomplished within 12-18 months
GSK comment on the Stakeholders Citizen
Petition, Docket 2003P-0029/C2
11Essential Use Criteria (21 CFR 2.125)
- Adequate US post-marketing use data is available
for the non-ODS products - Proventil HFA marketed for 7 years
- Early reports of actuator clogging
- No evidence of problems in terms of safety,
efficacy, tolerability, patient acceptance - Ventolin HFA marketed for 2 years
- No evidence of problems in terms of safety,
efficacy, tolerability, patient acceptance
12Essential Use Criteria (21 CFR 2.125)
- Patients who medically required the ODS product
are adequately served by the non-ODS products
containing the active moiety and other available
products - Adequately served encompasses
- Efficacy/ Safety/ Tolerability v
- NDA and post-marketing data
- Cost
- Preamble to 2002 Amendment to 21 CFR 2.125 FDA
will consider cost in determining whether
alternatives meet patient needs
13Essential Use Criteria (21 CFR 2.125)
- Adequately Served the cost issue
- Branded CFC products cost more than generics
- Actual prices vary considerably among payors
- Retail cost per day
- 1.44 for Ventolin
- 0.69 for CFC generic
- Branded HFA products are priced comparably to the
branded CFC products
Average National Retail Price Data from IMS
Health, at www.fda.gov/cder/consumerinfo/savingsfr
omgenerics.htm
14Essential Use Criteria (21 CFR 2.125)
- Adequately Served The cost issue
- Due to existing patents, there are currently no
generic HFA products - Existing patents will expire in 2010 through 2015
- Given current realities, the removal of the
essential use status of albuterol would result in
an increase in the price of albuterol MDIs - The public health consequences of such an
increase are not known and are difficult to
predict - Possibly fewer prescriptions filled (albuterol,
other)
15Essential Use Criteria (21 CFR 2.125)
- Adequately Served The cost issue
- Dr. Lutter will discuss the economic aspects in
greater detail in the following presentation.
This includes descriptions of the various sources
of price data, and estimates of how changes in
the price of albuterol MDIs might affect
utilization.
16Other Issues
- Availability of CFCs Production facilities
- Only current source of pharmaceutical grade
CFC-11 and CFC-12 for the US is Honeywells plant
in the Netherlands - The Dutch government has informed Honeywell that
CFC production will not be permitted after 2005 - Honeywell states that it will begin production of
pharmaceutical grade CFC-11 and CFC-12 at a US
plant, and will be able to supply CFCs beyond
2005
Docket 2003P-0029/C9
17Other Issues
- Availability of CFCs Potential actions by the
Parties to the Montreal Protocol - CFC essential use requests are granted by the
Parties annually - Thus far, the Parties have respected the US
determination that albuterol is essential, and
have granted the CFC volumes requested by the US - However, the Parties have noted the availability
of two non-CFC albuterol products in the US, and
some have questioned the continued need for CFCs
for this purpose - It is not clear how long the Parties will
continue to grant CFC requests for use in
albuterol MDIs
18Topics for Discussion
- Please discuss the extent to which you believe
the criteria established in 21 CFR 2.125 for
removal of a drug substance from the list of
essential uses for CFCs have been met for
albuterol. These criteria are - At least 2 non-ozone depleting substances
(non-ODS) that contain the same active moiety are
being marketed with the same route of delivery,
for the same indication, and with approximately
the same level of convenience of use as the
ozone-depleting products - Supplies and production capacity for the non-ODS
products exist or will exist at levels sufficient
to meet patient need - Adequate US post-marketing use data is available
for the non-ODS products - Patients who medically require the ODS product
are adequately served by the non-ODS products
containing the active moiety and other available
products - Please suggest any additional data or information
you believe would be important to consider in
making a determination regarding the essential
use status of albuterol. - Please comment on any additional issues you
believe would be important to consider in making
a determination regarding the essential use
status of albuterol.