Title: FDA Update:
1FDA Update IVDMIAs and Molecular Testing
ACLAs 13th Annual Meeting Laboratories Rx for
the Future April 18, 2008
Courtney C. Harper, Ph.D. Office of In Vitro
Diagnostic Device Evaluation and Safety FDA/CDRH
2Agenda
- FDA Oversight of Diagnostic tests
- Current climate of genetic testing
- IVDMIA summary overview
3FDA Device Regulation
- Medical Device Amendments of 1976
- Risk based regulation
- General controls
- Special controls
- Pre-market notification or approval
- Technology a factor but not determinative
- Intended use and indications for use
- Diagnostic tests a subset of medical devices
4IVDs Unequal Regulation
CLIA
Longstanding FDA policy results in a non-level
playing field for IVD manufacturers. Distributed
Test kits must undergo FDA review prior to
marketing while lab developed tests enter the
market without review
test kit manufacturer
FDA enforcement discretion
5Current State of Affairs
- Industry seeking regulatory parity between IVDs
and LDTs including genetic tests - Consumer advocates seeking more comprehensive
regulatory assurance of LDTs and genetic tests,
and more assurance of clinical validity and
clinical utility - Commercial Laboratories seeking predictability,
some favor status quo or CMS regulation over FDA
regulation - Congress concerned with issues
- Kennedy, Obama bills
- GAO DTC testing report
6Current State of Affairs
- Secretary Leavitt Priority
- Personalized Medicine
- SACGHS Oversight Report includes recommendations
to - Require more proficiency testing for genetic
tests - Establish a mandatory registry for genetic tests
- Have FDA address clinical validity of all
laboratory tests - Increase research efforts to generate clinical
utility information for genetic tests
7FDAs Critical Path
Biomarker development and qualification is of
interest to both FDA and Industry as a way to
strengthen drug discovery programs and
personalized medicine (part FDAs Critical Path
Initiative)
- Discover new biomarkers to modernize product
development (e.g. genetic/genomic markers) - Requires a device to measure them
One Goal Translation of new biomarkers from
Basic Science to Clinical Use
8Advantages
- Potential Benefits of new Biomarkers
- Develop new and innovative clinical diagnostics
- Streamline drug discovery/development programs
- Identify potential responders to a specific drug
- Identify individuals at risk for adverse events
9IVDMIAs
A growing category of new biomarkers for clinical
diagnosis are In Vitro Diagnostic
Multivariate Index Assays (IVDMIAs)
10IVDMIAs
11The Promise of IVDMIAs
- New Biomarkers may lead to
- Better healthcare choices for patients
- Better drug discovery decisions for companies,
facilitating a critical path for streamlined drug
development
12The Risks of LDT IVDMIAs
- Most IVDMIAs are marketed with high risk
diagnostic claims (e.g., cancer
diagnosis/prognosis, Alzheimer's disease risk,
Stroke, etc.) - Clinical validity/utility often unestablished
- Currently no mechanism for adverse event
reporting or recalls
13IVDMIA Guidance Background
FDA published a draft guidance on IVDMIAs that
defines a narrow niche of devices. The guidance
states that these devices are subject to FDA
regulation rather than enforcement discretion
even when offered as laboratory developed tests.
- FDA Concerns regarding lab developed IVDMIAs
- No independent review of data sets or clinical
claims is it clinically valid? - Degree of scientific rigor varies greatly among
IVDMIA developers - Some lab developed IVDMIAs offered for clinical
use while still in a research phase - Use of test information non-intuitive,
non-transparent to well trained health care
providers
14IVDMIA Guidance Background
- Original draft guidance published September 7,
2006 - Public Meeting held February 8, 2007
- Revised draft issued July 26, 2007
- FDA received more than 50 comments
- Submitted primarily by IVDMIA developers,
commercial laboratory groups, rare disease
research advocates, consumer advocates,
pharmaceutical companies, IVD manufacturers, 3rd
party payers, cancer prevention groups,
physicians, private citizens
15IVDMIA Guidance
- Examples
- Devices that would be considered IVDMIAs
- Devices classified under 21 CFR 866.6040, Gene
expression profiling assay for breast cancer
prognosis (e.g., Agendia MammaPrint Test
cleared February 2007) - A device that integrates quantitative results
from multiple immunoassays to obtain a
qualitative score that predicts a persons risk
of developing a disease or condition - A device that integrates a patients age, sex,
and genotype of multiple genes to predict risk of
or diagnose a disease or condition
16IVDMIA Guidance
- Devices that would not be considered IVDMIAs
- Devices that combine multiple variables into a
single result that facilitates an interpretation
of the variables that clinicians could otherwise
interpret themselves because of extensive
experience and training in use of the device - (e.g., standard maternal Triple Screen testing)
- Genotype determination (e.g., CFTR genotyping)
- Chromosomal copy number determination
- (i.e., devices intended to identify abnormal
gains and losses in a patients chromosomal DNA) - Common clinical calculations
- (e.g., creatinine clearance, determination of
cholesterol ratios, estimated glomerular
filtration rate) - Devices that analyze stored clinical information
to, e.g., flag results, create disease
registries, summarize patient-specific
information in an integrated report, and/or track
a patients treatment or disease outcome (e.g.,
Clinical Decision Support tools) - Common, public demographic risk calculations
(e.g., Gail Index, Framingham Risk Score)
17IVDMIA Guidance
- Exceptions
- FDA will continue enforcement discretion for
laboratory-developed IVDMIAs intended for rare
disease testing - Until FDA issues guidance on how labs may best
meet FDA quality system requirements, FDA intends
to exercise enforcement discretion with regard to
post-market enforcement of QS requirements for
such laboratories -
- (For PMA applications, FDA will work with the
applicant to determine - the least burdensome approach to developing QS
compliant systems)
18Stakeholder Concerns
- FDAs workload
- Regulatory process labs unfamiliar w/ FDA
- Iterative development of tests
- Chilling of new technology
- Perceived conflicts between CLIA/QSRs
- Appropriate review thresholds
- Off-label use
- Public health
19Disparate Proposals
- Coalition for 21st Century Medicine registry
with comment for 3 to 5 years followed by phased
in regulation - ACLA CMS registration with FDA consult
- AdvaMed regulation by risk rather than business
model
20IVDMIAs Good News
- Technology is there (reagents, hardware,
software, design elements) - 2003 genomic map unveiled
- Broad organizational commitment (NIH, FDA, HHS)
21IVDMIAs Bad News
- Biology and clinical science are complex,
nuanced, and not always intuitive - Sample procurement and integrity an issue
- Statistical methods complex - Issues of training
versus testing must be addressed clearly and
early - Lack of material and method standards
- Inadequate mechanisms for data sharing
22IVDMIA Guidance
- To provide sufficient time for IVDMIA
manufacturers to come into compliance, FDA has
proposed an initial transition period for
currently marketed, laboratory-developed IVDMIAs.
- This phased-in, 18 month transition period
allows - 12 months for submission of a 510(k) or PMA
- 6 months additional enforcement discretion during
FDA review of submission
23Current Status
- Issues under review
- Decision making and timing uncertain
- SACGHS report expected to be provided to HHS in
the near future to address broad issues of gaps
in the area of genetic testing and possible
mechanisms to address these
24Questions?
- courtney.harper_at_fda.hhs.gov
- 240-276-0694