Title: Europe
1 Europe USAInteractions on Pediatric Clinical
Trials
- Dr. Dianne Murphy
- Director, Office of Pediatric Therapeutics
- Office of the Commissioner,
- Food and Drugs Administration
- April, 2008
2Overview
- Differences US legislation and EU law
- Principles of Interactions between FDA and EMEA
- Process and Scope of Work to Date
- Scientific information exchanged and types of
issues discussed - Summary
3The European context regulatory framework
- 27 Member States (Austria, Belgium, Denmark,
Finland, France, Germany, Greece, Ireland, Italy,
Luxemburg, The Netherlands, Portugal, Spain,
Sweden, United Kingdom, Estonia, Latvia,
Lithuania, Czech Republic, Slovak Republic,
Poland, Hungary, Slovenia, Malta, Cyprus,
Bulgaria Romania) - EEA countries Norway, Iceland, Liechtenstein
- Observers Croatia, Turkey, Macedonia
- EFTA Switzerland excluded
- 23 languages!
EMEA
European Commission
4(No Transcript)
5The European context regulatory framework
- EMEA is not an FDA for Europe!
- Member States have pooled their sovereignty for
authorisation of medicines - EMEA coordinates the existing scientific
resources of Member States - An interface with all partners
- All parties linked by an IT network (EudraNet)
6The European Regulatory Framework
- EMEAs centralized process coordinates the
assessment by representatives from the member
states - Approval recommendation is from an EMEA committee
(CHMP) comprised of member states. (Pediatric
Committee has members from the CHMP) - Approval authorization is from European
Commission - Company can opt for individual country assessment
approval in certain cases
7Differences between Europe and USA Pediatric
Processes
- US Can ask for indication that does not exist in
adults or not approved for marketing in adults - EU Significant Therapeutic Benefit or Fulfilled
Therapeutic need vs US Meaningful Therapeutic
Benefit or Substantial number of pediatric
patients.
8Differences between Europe and USA Pediatric
Processes (contd)
- US has 2 separate triggering processes (incentive
and requirement) that are only partially
coordinated by a pediatric committee while Europe
has 1 pediatric law. - Europe has a centralized procedure.
- All appropriate applications are submitted for
review by a Pediatric Committee which addresses
the studies needed for the Pediatric
Investigational Plan (PIP), waivers and
deferrals. - The incentive is also linked to the PIP.
- In the US only those studies in response to a
Written Request are eligible for the incentive
9Differences between Europe and USA Pediatric
Processes
- European filing of a product for an adult
indication can be denied if it does not have the
required pediatric plan, waiver or deferral not
possible in US - European process is asking for more definitive
information early in development process - US Has required pediatric focused PM safety
reviews with public presentation.
10PEDIATRIC DIFFERENCES Post-Marketing SAFETY
- USA Mandated pediatric focused review of post
marketing adverse events and a public review of
the data, even if the product does not have a
pediatric indication (not approved but labeled) - EUROPE If the product is not marketed for
pediatrics the safety review is not obligatory
11Principles of Interactions EU/EMEA and FDA
- Based on ICH E-11
- Pediatric patients should be given medicines that
have been appropriately evaluated for their use
in those populations. - Development of product information in pediatric
patients should be timely. - Well-being of pediatric patients participating in
clinical trials should not be compromised. - This responsibility is shared among companies,
regulatory authorities, health professionals and
society as a whole.
12Principles of InteractionsEMEA and FDA
- Objectives
- Regular exchange of scientific and ethical
information on pediatric development programs in
Europe and the U.S. - To avoid exposing children to unnecessary
trials. - To optimize global pediatric development
13FDA and EMEA Process of Information Exchange
- Monthly t-con to discuss product-specific
pediatric development - Pediatric Investigational Plans (PIPs), Written
Requests (WRs), waivers and deferrals, other
development and safety activities. - Documents are exchanged through a secure link,
Eudralink because the majority of the information
exchanged is confidential.
14FDA and EMEA Scope of Information Exchanged
- From August 07 through February 08
- 119 PIPs with preliminary information received
- 112 PIPs for which FDA provided scientific
information - 57 PIPs discussed of which 17 were in-depth or
expanded scientific discussions.
15Elements of Standard Information Exchanged EMEA
- Monthly, EMEA sends FDA an excel spreadsheet that
includes the product name, active substance,
formulation, approved conditions, proposed PIP
indication or proposal to waive or defer
pediatric studies. - Summary Reports are sent for some products that
require expanded scientific discussion.
16Elements of Standard Information USA
- Monthly, FDA sends EMEA an excel spreadsheet that
includes - the product name
- active substance
- information from the WR and, if applicable, the
PREA application (including indication, types of
studies, age studied, date studies are due) - approved indications
17Elements of Standard Information USA (continued)
- Excel spreadsheet
- regulatory status (e.g. end-of-Phase 2 meeting,
pre-NDA meeting, pediatric studies completed and
ongoing, waivers and deferrals) - issues (e.g. clinical hold and other safety
concerns)
18Scientific Information Exchanged
- Status of ongoing pediatric studies
- Results of studies conducted in pediatric
patients, including negative studies - Safety concerns, including clinical holds.
- Plans for long-term safety monitoring.
- Differences in endpoints
- Differences in trial design
- Differences in dosing regimen
19Scientific Information Exchanged
- Pending Written Requests
- Waivers (rationale)
- Deferrals (e.g. need for additional safety data
in adults before initiating studies in pediatric
patients) - Collaboration on conduct of pediatric studies
with international sites.
20Expanded Scientific Discussions
- Type of study (e.g. placebo control vs. active
control for antihypertensive agents and for
treatment of multiple sclerosis) - Choice of comparator for active-controlled trials
(active control may be standard of care and that
may be different)
21Expanded Scientific Discussions
- Age group(s) to study (e.g. should neonates be
included in the study lower age limit for
antihypertensive, cholesterol-lowering trials and
topical anti-viral agents). - Example Anti-convulsant requested studies in US
down to 1 month of age while EMEA proposal
includes neonates. - Discussion of accuracy in diagnosis of and
distinguishing between types of seizures in
neonates.
22Expanded Scientific Discussions
- Indications for study
- Example Anti-fungal product
- Differences in indication being sought by the
EMEA and the FDA concerning prophylaxis vs.
treatment of fungal infections. FDA had data from
treatment trial studies. - FDA has flexibility in determining indication it
is not limited to indication approved in adults
23Expanded Scientific Discussions
- Choice of efficacy endpoints
- Examples
- -For antihypertensive studies choice of
systolic blood pressure (BP), diastolic BP or
mean BP as the primary endpoint for
antihypertensive studies. - -For oncology studies of rare tumors choice
of a single primary endpoint (complete response)
or co-primary endpoints (complete response and
survival)
24Expanded Scientific Discussion
- Reasons for failed studies
- Example Treatment of migraine in adolescents-
discussion of the timing of the endpoint
assessment and the impact of a high placebo
response rate on the ability to demonstrate a
treatment effect.
25Summary
- Principles of interactions between FDA and EMEA
are those of ICH E-11. - Interactions between FDA and EMEA occur monthly
and the process is evolving. - The overwhelming majority of the information
exchanged is confidential with documents
exchanged through a secure link, Eudralink. - The goal is for global pediatric development to
avoid exposing children to unnecessary trials and
to benefit from each others experience.
26The Future This Special PopulationStill remains
largely unstudied many of the products go
off-patent before we are ready to study this
population
27(No Transcript)
28(No Transcript)