Title: BE Issues of HVD
1BE Issues of HVD HVDP
Kamal K. Midha, Maureen Rawson Gordon McKay
John W. Hubbard
PharmaLytics Inc. A Non-Profit Institute of the
University of Saskatchewan Saskatoon, SK,
Canada, S7N 3R2
Advisory Committee for Pharmaceutical Sciences,
Nov 29 2001
2Highly Variable Drugs(HVD and HVDP)
- A drug with an ANOVA-CV ? 30 has been defined as
an HVD - A highly variable drug product is a formulation
with an ANOVA-CV ? 30 and has been termed HVDP - With an HVD/P, a very large number of subjects is
required in a traditional ABE study, even when
two samples from the same lot of the same ref
formulation are compared
3HVDs
- Chlorpromazine (CPZ) is an example of an HVD
which has an ANOVA-CV of 34 on AUC and 43 on
Cmax. - The following slide shows results of a 3-period
ABE study on CPZ with 37 subjects - The test product was given once and the ref
product was given twice (two samples from the
same lot of the ref product)
4CPZ 3-way ABE Study (n37)Test vs 2
administrations of Ref1991
CV Test vs Ref Ref
vs Ref GMR 90 CI GMR
90 CI AUC 34 108 95 - 123
102 90 - 116 Cmax 43 106
90 - 126 115 98 - 136
Based on log transformed data Probability of
passing (36 subjects 2-period study, GMR 115) is
ca 15 only
5Comments
- It is clear that 2 samples from the same lot of
the reference product were not found BE with each
other because the ANOVA-CV was 43 and GMR 115 - These (and other) data showed that the reference
formulation was a good quality product (HVD not
an HVDP)
6Comments
- Under the new recommendations of the Oct 2000
Guidance, when stated a priori and after due
consultation with the agency, scaled IBE based on
a replicate design may be allowed for an HVD,
HVDP. - This is a reasonable proposal for HVD/Ps which
should be maintained at least for a trial period
of two years so as to foster the gathering of
data to be acquired in BE studies with a
reasonable number of subjects.
7Comments
- The use of scaling for HVD/Ps permits the the
assessment of BE to be performed with a
reasonable number of subjects without
compromising either the consumer risk and/or the
producer risk.
8Comments
- An additional advantage of IBE is that the study
provides an assessment of the quality of the
dosage forms under investigation - The constraint that the GMR must fall within
80-125 for scaled IBE is reasonable, and should
be maintained
9Comments
- Increasing the constraint on GMR in IBE to
lt125 (e.g. 115) would take us back a decade! - Our plea is that we should not modify the
recommendation in the Guidance until scientific
evaluations of the scaled metrics are completed.