Title: Critical Path Initiative: Challenges and Opportunities
1Critical Path Initiative Challenges and
Opportunities
- Ajaz S. Hussain, Ph.D.
- Deputy Director, Office of Pharmaceutical
Science, CDER, FDA - 19 October 2004 ACPS Meeting
2CDER Goals 2005
State of CDER 2004 Steven Galson Doug
Throckmorton October 6, 2004
3What is Critical Path?
- A serious attempt to examine and improve the
techniques and methods used to evaluate the
safety, efficacy and quality of medical products
as they move from product selection and design to
mass manufacture.
State of CDER 2004 Steven Galson Doug
Throckmorton October 6, 2004
4 Translational Research
Critical Path Initiative
March 2004 www.fda.gov/oc/initiatives/criticalpat
h/whitepaper.pdf
5Critical Path Document (March 2004)
- The drug development process the critical
path, is becoming a serious bottleneck to
delivery of new medical products
State of CDER 2004 Steven Galson Doug
Throckmorton October 6, 2004
6RD Spending
7But, New Product Submissions Have Remained Flat
for NMEs submitted prior to 1992, type A and
type B applications are counted as Priority
review and type C applications are counted as
Standard review.
8Why FDA Concern?
- FDA Statutory Mission -- Not only to protect but
also to advance public health by improving
availability of safe and effective new medical
products
State of CDER 2004 Steven Galson Doug
Throckmorton October 6, 2004
9FDA Has Unique Role in Addressing the Problem
- FDA scientists are involved in review during
product development -- they see the successes,
failures, and missed opportunities - FDA not a competitor, can serve a crucial
convening and coordinating role for consensus
development between industry, academia and
government - FDA sets the standards that innovators must meet.
New knowledge and applied science tools needed
not only by innovators must also be
incorporated into agency review
State of CDER 2004 Steven Galson Doug
Throckmorton October 6, 2004
10How to Proceed Science-Driven Shared Effort
- Drawing on available data, need to target
specific, deliverable projects that will improve
drug development efficiency - Not just an FDA effort we can identify problems
propose solutions solutions themselves
require efforts of all stakeholders - CMS, NIH, CDC
- Federal Register Notice requesting comments, Well
over 100 written responses to date.
State of CDER 2004 Steven Galson Doug
Throckmorton October 6, 2004
11CDER/ FDA Next Steps on Critical Path
- HHS Medical Technologies Innovation Taskforce
providing broad leadership - Chaired by Dr. Crawford
- Includes CDC, CMS, NIH and FDA
- Work on addition funding.
- Meetings with external stakeholders to identify
opportunities, enlist allies
State of CDER 2004 Steven Galson Doug
Throckmorton October 6, 2004
12Critical Path Summary
- Present state of drug development not sustainable
- FDA must lead effort to question any assumptions
that limit or slow new product development - Are they justified?
- Are there more efficient alternatives?
- If so, why are the alternatives not being
utilized?
State of CDER 2004 Steven Galson Doug
Throckmorton October 6, 2004
13Three Dimensions of the Critical Path
- Assessment of Safety how to predict if a
potential product will be harmful? - Assessing Efficacy -- how to determine if a
potential product will have medical benefit? - Industrialization how to manufacture a product
at commercial scale with consistently high
quality?
State of CDER 2004 Steven Galson Doug
Throckmorton October 6, 2004
14Applied Science Needed to Better Evaluate and
Predict on 3 Key Dimensions on 'Critical Path' of
Development
15OPS Programs Critical Path Initiative
- The discussion today is to seek input and advise
from ACPS on - Aligning and prioritizing current OPS regulatory
assessment and research programs - Note that all research and laboratory programs
are not intended to be focused on the Critical
Path - Identify gaps in the current programs
- Identify opportunities for addressing the needs
identified by the Critical Path Initiative
16Planned Project in the OPS Immediate Office
- An immediate need is to ensure appropriate
support - Generic Drugs - the growing volume and complexity
of applications - New Drug Chemistry - their new paradigm for
review assessment and efforts to support
innovation and continuous improvement goals of
the CGMP Initiative - Biotechnology Products complete integration in
OPS and the evolving concept of "Follow-on
Protein Products - Alignment of research programs in OPS
17OPS IO Critical Path Initiative Project Proposal
- To develop a common regulatory decision framework
for addressing scientific uncertainty in the
context of complexity of products and
manufacturing processes in Offices of New Drug
Chemistry, Biotechnology Products, and Generic
Drugs
18Motivation
- Uncertainty (stochastic and epistemic) and
complexity are two important elements of
risk-based based regulatory decisions - A common scientific framework, irrespective of
the regulatory path or process for these
products, will provide a basis for efficient and
effective policy development and regulatory
assessment to ensure timely availability of these
products.
19Approach
- There are no good methods available for
developing a standard approach for addressing
uncertainty different approaches will be
required in different assessment situations. - Therefore, a decision framework for selecting an
approach for addressing uncertainty over the life
cycle of products is proposed.
20Project 1
- Create the "As Is" regulatory decision process
map for ONDC, OBP, and OGD - a representative sample of product applications
will be selected for this mapping process
21Project 1 Steps
- Determine regulatory process efficiency and
effectiveness (quality) using metrics similar to
that of manufacturing process - Identify and compare
- Critical regulatory review decision points and
criteria - Evaluate correlation and/or causal links between
review process efficacy metrics and critical
decisions criteria, and available information (in
submissions), and - Evaluate the role of reviewer training and
experience
22Project 1 Steps (Contd.)
- Summarize available information on the selected
products - Collect and describe product and manufacturing
process complexity, post-approval change history,
and compliance history (including AER's) - Describe product and process complexity and
uncertainty with respect to - Current scientific knowledge (mechanism of
action, critical variables, analytical methods,
failure modes, etc.) - Information available in the submissions,
- Reviewer expert opinions and perceptions
- If feasible/possible, seek similar information
from sponsor/company scientists on these same
products
23Project 1 Deliverables
- Organize OPS Science Rounds to discuss and debate
the "As Is" process map and the knowledge gained - Identify "best regulatory practices" and
opportunities for improvement - Opportunities for improvement to include
knowledge gaps - Develop a research agenda for OPS laboratories
- Develop a common scientific vocabulary to
describe uncertainty and complexity - Develop an "ideal" scientific process map for
addressing uncertainty and complexity - Adapt the "ideal" scientific process map to
different regulatory processes
24Project 2 Background
- Without a systems approach to the entire
regulatory process from IND to NDA (BLA, ANDA)
review and approval, to phase IV commitments and
CGMP inspections, the broad FDA goals under the
CGMP and the Critical Path Initiatives will not
be optimally realized.
25Project 2 Background
- The team approach and systems perspective under
the CGMP Initiative only addressed a part of the
pharmaceutical system. - Quality by design and process understanding to a
large extent is achieved in a Research and
Development organization. - Pharmaceutical product development is a complex
and a creative design process that involves many
factors, many unknowns, many disciplines, many
decision-makers, and has multiple iterations and
long life-cycle
26Project 2 Background
- Significant uncertainty is created when a
particular disciplinary design team must try to
connect their subsystem to another disciplinary
subsystem (e.g., Clinical-CMC-CGMP). - Each subsystem can have its own goals and
constraints that must be satisfied along with the
system-level goals and constraints. - It is possible that goals of one subsystem may
not necessarily be satisfactory from the view of
other subsystem and design variables in one
subsystem may be controlled by other disciplinary
subsystem.
27Project 2
- Using ICH Q8 as the bridge between the CGMP
Initiative and the rest of the regulatory system
seek to develop a knowledge management system to
ensure appropriate connectivity and synergy
between all regulatory disciplines (Pharm/Tox,
Clinical, Clinical Pharmacology,
Biopharmaceutics, Bioequivalence, CMC,
Compliance, CGMP Inspections, Drug Safety,..)
28Project 2 Approach
- ICH Q8 CTD-Q Pharmaceutical Development, P2
Section - Each section within P2 can have an impact on the
other P2 sections and similarly other sections of
a submission and to CGMPs - By recognizing this as a complex design system
that involves multiple attributes, goals,
constraints, multidisciplinary design teams
(subsystems), different degrees of uncertainty,
risk tolerance, etc., we wish to find
opportunities to identify robust designs and
design space that provides a sound basis for risk
assessment and mitigation
29Project 2 Approach
- A significant body of knowledge exists (e.g., in
mechanical engineering - design of aircrafts)
that addresses this challenge for example - Koor, I., Altus, S., Braun, R., Gage, P., and
Sobieski, I. Multidisciplinary Optimization
Methods for Aircraft Preliminary Desing. AIAA
Paper 94-4325, 5th AIAA/USAF/NASA/ISSMO
Symposium, Sept. 1994 - Balling, R.J. and Sobieski, J. An Algorithm for
Solving System-Level Problem in Multilevel
Optimization.Structural Optimization 9 168-177
(1995) - Kalsi, M., Hacker, K., Lewis, K. A Comprehensive
Robust Design Approach for Decision Trade-Offs in
Complex System Design. J. Mechanical Design. 123
(2001)
30Project 2 Approach
- The applicability of multidisciplinary
optimization methods for solving system level
problems and decisions trade-offs will be
explored for the NDA review process - For example in the CDT-Q P2 section Critical
drug substance variables that need to be
considered in section 2.2.1 Formulation
Development are described in section (P2.1.1.) - P2.1.1. Drug Substance Key physicochemical and
biological characteristics of the drug substance
that can influence the performance of the drug
product and its manufacturability should be
identified and discussed.
31Project 2 Approach
- Let f(2.1) be the objective function of section
of section P2.2.1. Formulation Development it
describes the desired quality and performance
attributes to be achieved by formulation
development program (? mean of the objective
function and ? its standard deviation) - Let g(2.1.) be the constraints placed on
formulation development - The subsystem optimization problem is then
defined as Find X(2.1.) to achieve the
objectives of this subsystem as it relates to the
overall system - Minimize ?f, ?f
- Subject to a given constraint g(1.1.,..2.1.,..)
32(No Transcript)
33Potential Deliverables
- In conjunction with electronic submissions this
project can potentially provide a means to - Link multidisciplinary information to improve
regulatory decisions (e.g., clinical relevance of
CMC specifications) - Creating a means for electronic review template
and collaboration between different disciplines - Provide a common vocabulary for interdisciplinary
collaboration - Create an objective "institutional memory' and
knowledge base - A tool for new reviewer training
- A tool for FDA's Quality System
- Connect the CGMP Initiative to the Critical Path
Initiative
34Project 3
- Explore the feasibility of a quantitative
Bayesian approach for addressing uncertainty over
the life cycle of products - The most common tool for quantifying
uncertainties is probability. The frequentist's
(including classical statisticians) define
probability as a limiting frequency, which
applies only if one can identify a sample of
independent, identically distributed observations
of the phenomenon of interest.
35Project 3
- The Bayesian approach looks upon the concept of
probability as a degree of belief and include
statistical data, physical models and expert
opinions and it also provides methods for
updating probabilities when new data are
introduced. - The Bayesian approach may provide a more
comprehensive approach for regulatory decisions
process in dealing with CMC uncertainty over the
life cycle of a product. - It may also provide a means to accommodate expert
opinions. The evolving CMC "peer review" process
may be a means to incorporate expert opinions. - Using the information collected in Project 1
seek to develop quantitative Bayesian approaches
for risk-based regulatory CMC decisions in OPS
36OPS Programs Critical Path Initiative
- Other OPS programs I/O, OBP, ONDC, OGD, and OTR
- The discussion today is to seek input and advise
from ACPS on - Aligning and prioritizing current OPS regulatory
assessment and research programs - Note that all research and laboratory programs
are not intended to be focused on the Critical
Path - Identify gaps in the current programs
- Identify opportunities for addressing the needs
identified by the Critical Path Initiative