Title: WHO Essential Drugs Strategy
1Global Review of Medicines Regulation Current
Highlights and Future Trends
National Regulatory Conference 2005 Kuala
Lumpur, Malaysia 6 September 2005
Dr Lembit Rägo Coordinator, Quality Assurance
and Safety Medicines Medicines Policy and
Standards World Health Organization E-mail
ragol_at_who.int
2Content
- Introductory remarks
- Global regulatory environment
- Harmonization
- New challenges and trends
- Role of WHO
- Challenges remaining
3Medicines regulation What is it all about?
Taste
Smell
Appearance
Usual perceptions may not help in making
judgements about medicines
4Why Stringent Standards for Medicines?
- Medicines are different from other goods as
patients (consumers) and even health care
professionals are not able to judge their
"quality" or "fitness for use" - " drugs are a public good and not simply just
another commodity first for their high social
value, and then because consumers and prescribers
are unable to assess their quality, safety and
efficacy" (Dr Gro Harlem Brundtland, former
Director General of the World Health
Organization) - This is the reason why medicines belong to one of
the most regulated group of products
5What Standards for Medicines?
- Medicines must meet quality, safety and efficacy
criteria. - These three sets of requirements are
complementary to each other and each product has
to be of good quality, safe and efficacious. - It is possible that a product is of good quality,
but may not necessarily be effective or safe - It is possible that a product is effective, but
may not necessarily be of good quality or safe - It is possible that a product is safe but may not
be of good quality or effective
6What type of medicines we have? 1. Innovator
products
- For these products one has to prove their safety,
efficacy and quality. Basis for these criteria is
created by respective scientific disciplines.
Implementation is executed through respective
laws and regulations. - Proving safety and efficacy is the key for these
products. It is based on the results of
pre-clinical (i.e. animal toxicology) and
clinical (clinical studies carried out in healthy
volunteers and patients) research - Innovator (or originator) products
- New innovative products that nobody yet has
marketed, usually based on the new active
ingredient (chemical compound which is
responsible for its effects in human subjects) - The manufacturer has also to prove that its
processes to produce the product and methods
invented to control its quality are meeting
established quality requirements.
7Who sets the scene for regulating innovator
products?
8 International Conference on Harmonisation of
Technical Requirements for Registration of
Pharmaceuticals for Human Use Six Co-sponsors -
members of Steering Committee European
Commission EC European Federation of
Pharmaceutical Industry Associations EFPIA J
apanese Ministry of Health and Welfare MHW Japa
nese Pharmaceutical Manufacturers
Association JPMA US Food and Drug
Administration FDA Pharmaceutical Manufacturers
Association PhRMA
9ICH Steering Committee Observers
- World Health Organization (WHO)
- Canada - Health Protection Branch
- European Free Trade Area (EFTA)
10ICH SC latest press release 2005
11ICH Global Cooperation Group (GCG)
12ICH Global Cooperation Group (GCG) - challenges
- Very different by composition (countries with
very different level of socioeconomic
development) and objectives regional
harmonization initiatives - Often in some countries indirectly involved ABC
not yet fixed whereas other countries may have
much higher levels of development - Relatively low level of resource investments
available in harmonization as compared to ICH - Some may more have interest in regulating generic
medicines well first (but this is not exactly ICH
objective)
13How can non-ICH countries benefit from ICH
products? Challenges for policy makers
- Priority setting (ABC first) may be long way to
go - Real control of market, functional DRA and
inspectorate - Basic quality assurance measures like GMP, etc.
- If market 90 generics, regulate well generics
first - Implementation of ICH products vs recognition of
registrations based on ICH guidelines? - Availability of resources
- What is the cost of implementation of ICH
guidelines and training? - What is the minimum number of regulators needed
to assess a new drug according to ICH guidelines - Step-by-step approach
14Where are we going with innovation?
- Do we need new medicines?
- Which type of new medicines we need?
- What needs to be done to get new medicines out?
- Is increase of spending on RD the only solution?
- What about new medicines for public health needs?
- What can regulators do?
15New initiatives to streamline drug approval
process
16Research spending
17 and product submissions to FDA
18Increase in certain segments of development costs
19Project Failure is Highest in Phase II
Mean Probability Of Success Of Completing Stage
PoS
CMR data based on cohort approach looking at
fate of NCEs entering phase 1996-1998, with
progression decision made by 2001
adapted from Ashton GA, Joshua PJ. Industry
success rates 2002. CMR International Ltd
20Three dimensions of Critical Path
21Poorly developed areas Paediatric medicines
- Paediatric indications based on evidence only
approximately 50 of use has backing by clinical
research - Incentives for paediatric research created in
several countries (exclusivity rights increased
etc.) - US
- EU
- Not much specific regulatory guidance
- Lack of paediatric formulations needed ARVs
22Recent safety concerns and withdrawals COX2
inhibitors in focus
- Are regulatory models used to assess safety
appropriate? - Independence of pharmacovigilance from
authorization staff - US Congress interested and investigates issues
- Can safety be predicted in a better manner?
- Are new regulatory guidance documents needed?
23Pharmacogenetics (PGx) significant potential to
address some of the challenges
- Pharmaceutical companies and regulators are
actively exploring PGx applications. Draft
guidance issued by some regulators, discussions
in ICH environment - CIOMS report Impact of Pharmacogenetics on Drug
Discovery and Development, - key development drivers and hurdles relevant to
the - implementation of PGx in drug development
- the potential role PGx may play in the drug
- development process
24New regulatory pathways to assure quality, safety
and efficacy of medicines for public health needs
in developing world
- WHO Prequalification Program
- US FDA tentative approval process for ARVs
- EU Article 58 process
25WHO Prequalification
- The UN prequalification program is an action plan
for expanding access to medicines for the hardest
hit by - HIV/AIDS
- Tuberculosis
- Malaria
- by ensuring quality, efficacy and safety of
medicines procured using international funds
26Why the prequalification is needed?
- Problems
- Millions of people living with HIV/AIDS,
tuberculosis and malaria, have no or limited
access to treatment - Substandard products widely available and in
circulation - Weak/absent QA systems of medicines supply chain
- Lot of money invested in procurement ?no
harmonized quality assurance system available for
procurement organizations/initiatives - Risks
- Sourcing of poor quality products or even
counterfeit medicines? risk to patients,
treatment failure, resistance
27Prequalification basic principles
- Rigour regulatory approach to ensure quality,
safety and efficacy - Voluntary for participating manufacturers
- Legitimate - General procedure and standards
approved through WHO Expert Committee system
involving all WHO Member States and WHO Governing
bodies - Widely discussed
- FIP Congress, Nice 2002
- Supported by ICDRA in 2002 and 2004, representing
more than 100 national drug regulatory
authorities - Transparent (all information available on the web
site http//www.who.int/medicines/) - Open to both innovators and multisource/generic
manufacturers - No cost for applicants (manufacturers) during
pilot phase
28Prequalification misunderstandings and critics
- Too high standards increasing prices
- Too high and unnecessary standards for
developing countries - Too bureaucratic and slow, not proactive and
not able to provide products - Too low standards
- . " This leaves the impression with readers that
the ARVs approved by WHO are in fact generic
products that are interchangeable with their
innovator cousins. From available documents,
however, we conclude that they are copy products
with unknown quality, safety and efficacy
profiles".
29How prequalification is organized
- Role of WHO Managing and organizing the project
on behalf of the United Nations. - provide technical and scientific support and
guarantee that international norms and standards
are applied all through the process including
assessment, inspection (GMP, GCP, GLP) and
quality control - Partners
- UNICEF, UN Population Fund (UNFPA), UNAIDS and
with the support of the World Bank - Anti-malarial and anti-TB products Roll Back
Malaria and Stop TB (Global Drug Facility) - Actors Mainly assessors and inspectors of
National DRAs as well as National Quality Control
Laboratories of PIC/S and ICH member countries
30Assessment procedure
- I. Assessment of products dossiers i.e. quality
specifications, pharmaceutical development,
bioequivalence etc. - teams of professionals from national drug
regulatory authorities (DRA) Brazil, Canada,
Denmark, Estonia, Finland, France, Germany,
Hungary, Indonesia, Malaysia, Philippines, Spain,
South-Africa, Sweden, Switzerland, Tanzania, UK,
Zimbabwe ... - II. Inspections
- Manufacturing site (final product, packaging)
- Active pharmaceutical ingredient (API)
- Research laboratory or Contract Research
Organization (CRO) - Teamwork of inspectors
- WHO representative (qualified GMP inspector)
- Inspector from well-established inspectorate
(Pharmaceutical Inspection Convention Scheme
countries) Australia, Canada, UK, France, Italy,
Switzerland, - Quality control analysis - upon need but not
always necessarily before prequalification and
supply, increasingly as part of follow-up
31Current status 2005
- Started with HIV/AIDS products in 2001 malaria
and TB products joined later - Prequalified products Submitted
- 95 HIV related medicines - 289
- 8 anti-tuberculosis medicines - 153
- 2 anti-malarial medicines - 46
- 105 488
- Ongoing assessments and follow-up
- Products
- Manufacturing sites
- CROs
32Ongoing monitoring and requalification
- Samples taken after supply
- Routine inspections and additional inspections
- Changes and variations controlled
- Products and manufacturers
- Requalification (re-assessment) every 3 years
- World Health Assembly resolution WHA57.14 of May
2004 - Public reports
- WHO Public Assessment Report (WHOPAR)
- WHO Public Inspection Report (WHOPIR)
33Prequalification
- Good news
- Relatively large number of products and suppliers
indicated - Many potential suppliers appreciating feedback
and willing to improve - Unique knowledge obtained about generic products
- De-listed products coming back to the
prequalified products list - Bad news
- Only limited number of products have met the
required standards - A number of de-listings from the prequalified
products list in 2004 - Takes time to get into compliance
- Data to be generated, tests carried out
- GMP upgrade needed
- Bad quality generics may undermine the public
confidence in generics - Quality assurance has its price!
34Lessons to be learned
- Quality can not be assessed, tested or inspected
into the product, BUT - It has to be built into it!
35http//mednet3.who.int/prequal/
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37US FDA tentative approvals
- Exactly the same standards for assessment as for
US internal market - The same inspection standards
- The same post approval surveillance
- When IP rights allow (patents and other
exclusivity rights) can enter US market - Limited to ARVs as linked to specific program
does not cover other product groups
38Article 58 LEGAL BASIS AND SCOPE
- Article 58 of Regulation (EC) No 726/20041 (the
Regulation) establishes a mechanism whereby the
European Medicines Agency (EMEA) may give a
scientific opinion, in the context of cooperation
with the World Health Organization (WHO), for the
evaluation of certain medicinal products for
human use intended exclusively for markets
outside the Community. - The Committee for Medicinal Products for Human
Use may, after consulting the World Health
Organization, draw up a scientific opinion in
accordance with Articles 6 to 9.
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40Article 58 Why?
- Under new EU legislation the EU Commission will
no longer license medicinal products unless they
are to be placed on the market in the EU. - Applicants were not able to get marketing
authorization in the EU for products that had no
market - WHO CPPs not issued under such circumstances no
basis for acceptance by other DRAs - Commission did not intend to kill incentives from
companies to address public health issues outside
the EU
41How Article 58 will work?
- Strong cooperation with the WHO
- WHO gate keeper (determines if product is of high
public health value) - WHO can send observers to CHMP
- WHO can provide experts to EMEA
- Procedure resembles centralized procedure same
standards - Outcome not MA but "scientific opinion for WHO"
- WHO type CPP will be issued
- EPAR like document will be made public
42Specific non-EU medical needs
- Medicines for non-EU use only due to
- - Specific epidemiological situation
- - Specific socio-economical conditions
- - Specific logistical conditions
- Vaccine examples
- - Pneumococcal vaccines with adapted
- composition
- - Multidoses containing thiomersal etc.
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44What type of medicines we have? 2. Generic
products
- The term generic product has somewhat different
meanings in different jurisdictions. Therefore,
term multisource pharmaceutical product is
preferred by WHO. - Where the term generic product is used, it means
a pharmaceutical product, usually intended to be
interchangeable with the innovator product, which
is usually manufactured without a license from
the innovator company and marketed after expiry
of the patent or other (e.g. data) exclusivity
rights. - Multisource pharmaceutical (generic) products are
pharmaceutically equivalent products that may or
may not be therapeutically equivalent.
Multisource pharmaceutical products that are
therapeutically equivalent are interchangeable
45What standards are need for generic medicines?
- For generic medicines the manufacturer has to
prove that the product meets all quality
requirements - In case of safety and efficacy it refers to the
originator's research - To prove the therapeutic interchangeability it
has, as a rule, to carry out bioequivalence
studies (small scale clinical trials in healthy
volunteers to examine if the test drug has
essentially the same blood concentration pattern
of active ingredient as the originator. - It is assumed that if the blood concentrations
are essentially the same the safety and efficacy
profile is also the same.
46Standards for generic drugs first priority
- WHO continues to issue Global standards for
generic medicines and regulatory topics for
public health importance
4739th WHO Expert Committee on Specifications for
Pharmaceutical Preparations, 25-29 October 2004
(I)
- Draft Guidelines
- FDC -WHO-QAS04_108 (Fixed Dose Combination
guidelines) - GMP_Herbal_RevJuly-04_QAS050
- Interchangeability-WHO-QAS_093Rev3_23Sept04
(bioequivalence) - QAS_055_Rev1_validation (supplementary to GMP)
- QAS_066_Rev3_sampling (to replace 1990 guideline)
- QAS_068_GDP see next slide for details
- QAS047_Rev1_Water (GMP)
- Guidelines on MP HVAC (Rev 4) (GMP Heating,
ventilation and air conditioning for non-sterile
dosage forms) - http//www.who.int/medicines/organization/qsm/expe
rt_committee/expertcomm.shtml
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49What is WHO doing in order to reduce quality and
regulatory gaps?
- Assessing regulatory capacity upon request
- Supporting capacity building and training of
regulators - Issuing norms and standards and guidance
materials - Preparing training tools, organizing training
seminars and workshops on variety of topics as
requested by countries - GMP, MA of Generic
Drugs, GCP, GLP, Pharmacovigilance etc. - Facilitating information exchange
- Supporting regional harmonization initiatives
- Favoring networking and cooperation
- Providing technical assistance upon request
Ultimate goal improve access to quality drugs
for all citizens
50International Conference of Drug Regulatory
Authorities
- Biennial unique forum of regulators
- Brings together more than 100 countries
51Information exchange.WHO Drug Informationhttp//
www.who.int/druginformation/
52Unfinished agendas 1. In many countries ABC
recommendations of this document to implement
effective drug regulation of medicines are still
not implemented
S
532.Unregulated online shopping threat for public
health
543. Counterfeit medicines Global threat to public
health
553. Counterfeit medicines no country is immune
Figure 1. The Number of Investigations of
possible counterfeit drugs by the FDA has been
rising (Figure Margaret Shear, Public Library of
Science, cited form Cockburn R, Newton PN,
Agyarko EK, Akunyili D, White NJ (2005) PLoS Med
2(4) e100.
56As health professionals, in public and private
sector, as an international community ...we have
a lot left to do all of us, together, things
that do matter, in right time and in right order
www.who.int/medicines