Title: Highly Variable Drugs
1Highly Variable Drugs Bioequivalence
IssuesFDA Proposal Under Consideration
- Barbara M. Davit, J.D., Ph.D.
- Deputy Director, Division of Bioequivalence (DBE)
- Office of Generic Drugs (OGD)
- Office of Pharmaceutical Sciences (OPS)/CDER
- Advisory Committee for Pharmaceutical Science
- October 6, 2006
2Discussion topics
- Characteristics of highly variable (HV) drugs
- Present bioequivalence (BE) study approach used
by the OGD for all drugs - Disadvantages of using current approach for HV
drugs - Reference-scaled average BE approach under
consideration by FDA - Advantages/concerns
- Questions for committee
3HV Drug Characteristics
- Within-subject variability (CVWR) in BE
parameters AUC and/or Cmax gt 30 - Non-narrow therapeutic index
- Represent about 10 of drugs studied in vivo and
reviewed by OGD
4Some reasons for high variability in BE parameters
- Drug substance
- Variable absorption rate
- Low extent of absorption
- Extensive presystemic metabolism
- Drug product
- Inactive ingredient effects
- Manufacturing effects
- Bioanalytical assay sensitivity
- Suboptimal PK sampling
- Impractical to identify mechanism in each case
5Characteristics of HV drugs evaluated by OGD
- Can use Root Mean Square Error (RSME) to estimate
within-subject variability in two-way crossover
studies - Conclude drug is HV if RMSE gt 0.3
- Using this criterion, about 10 of drugs
evaluated by OGD are HV drugs of these - 55 are consistently HV
- 20 are borderline cases
- For the remaining 25, high variability occurs
sporadically (not HV in most BE studies)
6BE issues with HV Drugs
- High probability that BE parameters will differ
when same subject receives a HV drug on more than
one occasion - Because of the high variability, a HV drug that
is truly therapeutically equivalent to the
reference may not meet BE acceptance criteria
7Present FDA approach used for BE studies of HV
drugs
- Generally, firms submitting ANDAs for HV drugs
use the same study design as for drugs with lower
variability - Two-way crossover study
- Replicate-design study
- HV drugs must meet same acceptance criteria as
drugs with lower variability - 90 CI of AUC and Cmax test/reference ratios must
fall between limits of 0.8 to 1.25 (80-125)
8Disadvantages of present FDA approach for HV drugs
Approach Disadvantages
Enroll adequate of subjects (N) to show BE in 2-way crossover study Study may require larger N avg. N 47 for HV drugs avg. N 33 for other drugs If study underpowered, must do new study
Replicate-design (4-period) study High dropout rate may need to enroll larger N
Group sequential-design study Must have protocol in place a priori Statistical adjustment
Based on BE studies submitted to OGD in
2003-2005
9Evolution of new proposal for BE studies of HV
drugs
- Pharmaceutical Sciences Advisory Committee in
2004 suggested reference-scaled average BE
approach - OGD Science Team studied approach by simulating
outcome of BE studies of HV drugs - FDA is considering using this approach for BE
studies of HV drugs
10New FDA proposal scaled average BE for HV drugs
- Three-period BE study
- Provide reference product (R) twice
- Provide test product (T) once
- Sequences TRR, RRT, RTR
- BE criteria scaled to reference variability
- (µT - µR)2 - ?s2WR lt 0 ? upper BE limit
- Both AUC and Cmax should meet BE acceptance
criteria -
11Advantages of reference-scaled average BE
- If T variability lt R variability, will benefit
test product - If T variability gt R variability, no benefit for
test product
12Use of scaled average BE for borderline HV drugs
- Our simulations confirmed that, for a true
borderline HV drug, either scaled or unscaled
average BE approach is suitable - Outcome of a 3-way crossover BE study will be
similar whether a reference-scaled average BE
analysis or unscaled average BE analysis is
conducted - We define a borderline HV drug as one for
which, in individual studies, within-subject
variability in BE parameters is generally
slightly gt or lt 30, and the average
within-subject variability is about 30
13When scaled average BE approach is unsuitable
- HV due to generic product or study conduct
- If due to effects of generic formulation, will
not benefit from scaled average BE approach - If T variability gt R variability
- Studies poorly performed
- Burden on applicant to prove to OGD that drug
substance is HV - OGD can conclude that scaled average BE approach
is unacceptable
14Concerns about reference-scaled average BE
Concern Proposed solution
Firms will conduct a replicate-design study, then submit results with both scaled and unscaled BE analyses If CVWR gt 30, FDA will use the reference-scaled average BE approach If CVWR lt 30, FDA will use the unscaled average BE approach
15Concerns about reference-scaled average BE
Concern Proposed solution
Scaling can allow the resulting AUC and Cmax geometric mean ratios to be either unacceptably low or high Acceptance criteria can include a point estimate constraint
16Concerns about reference-scaled average BE
Concern Proposed solution
What should be an appropriate number of subjects for a BE study that uses this approach? Should the FDA recommend a minimum number of subjects?
17Acknowledgements
- OGD Working Group
- Mei-Ling Chen
- Dale Conner
- Sam Haidar
- Lai Ming Lee
- Rob Lionberger
- Fairouz Makhlouf
- Devvrat Patel
- Don Schuirmann
- Lawrence Yu
- DBE Research Group
- Beth Fabian-Fritsch
- Sheryl Gunther
- Xiaojian Jiang
- Devvrat Patel
- Keri Suh
- Christina Thompson