Title: Regulatory Issues in Research from IND to NDA
1Regulatory Issues in Research from IND to NDA
Disclaimer This talk is a work of Dr. Lemery
and should not be construed as official FDA views
or official FDA advice.
2FDA hierarchy
3Division Hierarchy
4Who Approves Drugs?
- Commissioner?
- Popular vote?
- Consensus of the few?
- Medical Officer Decision?
- Other?
- The Secretary (of HHS) shall approve an
application for a drug unless the Secretary
finds
5Medical Officer Duties
- INDs
- NDAs/BLAs
- Industry meetings
- Advisory committee preparation
- Post-marketing activities
6Bases for FDA decisions
- Statutes binding
- Regulations binding
- Guidance
- Court decisions
- Precedent
- Policy
- Advisory committee advice
7FDA Drug Law
- 1906 Pure Food and Drug Act Labeling
- 1938 Food Drug and Cosmetic Act Safety
- 1962 Kefauver-Harris Amendments to FDC Safety
and Effectiveness
81962 Kefauver-Harris Amendments to FDC
- Substantial evidenceadequate and well controlled
trials - Review by experts (FDA)
- Authority to regulate the investigation of drugs
9FDA Drug Law
- 1970 Pharmaceutical Manufacturers of America
versus Richardson - 1973 Weinberg versus Hynson, Wescott, and
Dunning - 1979 United States versus Rutherford
10FDA Law
- 1992 Subpart H regulations
- 1997 FDAMA
- 2007 FDAAA
11IND to NDA
12IND definition
- Notice of Claimed Investigation Exemption for a
New Drug
13Interactive Question 1
14When is an IND required?21 CFR 312.2
- Questions to ask
- Are you using a drug in humans?
- Is the drug FDA approved?
15When is an IND required?21 CFR 312.2
- Exemption criteria for studies involving FDA
approved drugs (refer to guidance document) - Will not change labeling
- Not support new advertising
- Does not significantly increase risk
- Complies with IRB and IC regs
- Complies with 21 CFR 312.7
16Interactive Question 2
17FDA IND Reviews
- Clinical
- Statistical
- Pharmacology/Toxicology
- Clinical Pharmacology
- Chemistry/Manufacturing/Controls (CMC)
- Regulatory Project Manager
18Required components of an IND
- Does information pertaining to manufacturing,
toxicology, and pharmacology need to be submitted
for all new INDs? - 21 CFR 312.23
http//www.fda.gov/cber/ind/ind.htm for
information on specific requirements and forms
to submit when submitting an IND
19FDA actions regarding INDs
- Allow study to proceed
- Place IND on full clinical hold
- Place IND on partial clinical hold
20Clinical Holds21 CFR 312.42
- Unreasonable risk
- Unqualified investigator
- Misleading, erroneous, or incomplete investigator
brochure - Exclusion of men or women (life threatening
disease) - Insufficient information to assess risk
21Interactive Question 3
22Clinical Holds Phase 2 or 3
- A study is clearly deficient in design to meet
its stated objectives
23The process does not stop with the initial IND
submission!
- Sponsor and Investigator Obligations
24Sponsor Obligations 21 CFR 312.50 to 312.59
- Select qualified investigators
- Adequately control study drug
- Provide investigators information
- Ensure the study is conducted according to the
protocol (Good Clinical Practice) - Ensure investigators and FDA are informed of
certain adverse events - Maintain adequate records
25Investigator Obligations21 CFR 312.60-312.69
- Comply with the protocol
- Protect rights, safety, and welfare of subjects
- Obtain IC and IRB approval
- Maintain records
- Submit required reports
26Safety Reports 21 CFR 312.32Sponsor shall notify
FDA and all investigators of the following
- Serious and unexpected AE (15 days)
- Unexpected fatal or life-threatening event (7
days) - Findings in animals that suggests a significant
risk - Any relevant follow-up information
27Other INDs
28Other INDs
- Open label protocol
- Treatment use
- Group C treatment IND
- Emergency use IND
29NDA/BLA
30Common Endpoints for Cancer Drugs
- Overall Survival
- Progression Free Survival
- Disease Free Survival (adjuvant)
- ORR
http//www.fda.gov/cder/guidance/7478fnl.pdf
31Interactive Question 4
32Accelerated Approval(Approval under Subpart H)
- Adequate and well controlled
- Effect is on a surrogate
- Surrogate is reasonably likely to predict
clinical benefit - Applicant must study the drug further
33Pre-Marketing Safety Assessment
- Purposes
- Level of evidence for label inclusion
34Post-Marketing Safety
- 15 day alert reports for serious and unexpected
events - Periodic Safety Reports at quarterly intervals
after approval of an application then annually - FDAAA
35Interactive Question 5
36Why the High Failure Rate in Trials to
Demonstrate Effectiveness and Safety?
- Incomplete Understanding of Biology of Disease.
- Suboptimal Investigations Prior to Pivotal
Trials. - Non-Prospective Biomarker Development.
- Inadequate FDA Interaction During Development.
- Lack of Sufficient Drug Development Capital.
From Joe Gootenberg (2008 Duke-AACR meeting)
37(No Transcript)
38Questions