Title: ICH and CTD
1ICH and CTD
The Common Technical Document
- November 19, 2002
- Kimberly Stranick, Ph.D.
- Worldwide Regulatory Affairs
2Topics
- What is ICH?
- Who is ICH?
- ICH Guidelines
- What is CTD?
- Applicability and Implementation of CTD
- CTD Structure
- Whats New with CTD?
- FDA Experience with CTD
- What is e-CTD?
- WRAs CTD Initiatives
3What is ICH?
- Agreement between EU, Japan, and US
- Joint Initiative between HA Regulators and
Industry - System of Steering Committee and Expert Working
Groups - Defined Process for Implementation of agreements
in ICH regions
4ICH Mission (International Conference on
Harmonization)
- A more economical use of human, animal and
material resources, and the elimination of
unnecessary delay in the global development and
availability of new medicines whilst maintaining
safeguards on quality, safety and efficacy, and
regulatory obligations to protect public health.
5ICH Parties
- European Commission - European Union
- European Federation of Pharmaceutical Industries
and Associations (EFPIA) - Ministry of Health, Labor and Welfare (MHLW) -
Japan - Japan Pharmaceutical Manufacturers Association
(JPMA) - US FDA
- Pharmaceutical Research and Manufacturers of
America (PhRMA)
6ICH Observers
- WHO
- European Free Trade Area (EFTA)
- represented at ICH by Switzerland
- Canada
- represented at ICH by Health Canada
- ICH Secretariat managed by International
Federation of Pharmaceutical Manufacturers
Associations (IFPMA) to ensure contact with
industry outside ICH region
7ICH Topics
- Q QUALITY Topics
- those relating to chemical and pharmaceutical
Quality Assurance - S SAFETY Topics
- those relating to in vitro and in vivo
preclinical studies - E EFFICACY Topics
- those relating to clinical studies in human
subjects - M Multidisciplinary Topics
8Multidisciplinary ICH Topics
- M1 Medical Terminology
- M2 Electronic Standards for Transmission of
Regulatory Information - M3 Timing of Preclinical Studies in Relation to
Clinical Trials - M4 The Common Technical Document
9ICH Guidelines
- E1 The Extent of Population Exposure to Assess
Clinical Safety - E3 Structure and Content of Clinical Study
Reports - E5 Ethnic Factors in the Acceptability of
Foreign Clinical Data - E6 Good Clinical Practice (GCP)
- Q7 GMP for Active Pharmaceutical Ingredients
10ICH Process
- Step 1 - Consensus Building
- Sign off by Expert Working Group members
- Step 2 - Start of Regulatory Action (and testing)
- Step 3 - Regulatory Consultation (Draft guidance)
- Step 4 - Adoption of a Tripartite Harmonized Text
- Step 5 - Implementation
11What is the Common Technical Document?
- CTD is
- an agreed format for common organization of
documents in regulatory applications. - CTD is not
- a common content for all markets.
- As always, content is data and label driven for a
given market.
12What does CTD specify?
- The intention of the CTD format is to save time
and resources and to facilitated regulatory
review and communication - CTD guidance gives no information about the
content of a dossier and does not indicate which
studies and data are required for a successful
application. - Content guidelines distinct from CTD
13Why a common format?
- CTD concept provides a common format to
- allow each HA to find supporting information they
need for their assessment (consistency of
scientific content) - show approach to scientific development plan and
assess quality of design, study performance, and
compliance
14Applicability of CTD
- The CTD was designed to apply to all categories
of medicinal products, including - drugs
- biologics
- generics
- herbals
- radiopharmaceuticals
- vaccines
- Applies to all types of applications (stand alone
and abridged)
15CTD through the ICH Process
- Step 1 Consensus Building
- presented to ICH Steering Committee March 1996
- Step 4 Adoption
- Endorsed by the ICH Steering Committee October
2000 - Step 5 Implementation
- Ongoing in ICH regions
16Implementation of CTD(ICH Step 5)
- July, 2001 Optional EU
- Japan
- US
- July, 2003 Mandatory EU
- Japan
- Highly Recom. US
17US Requirement for CTD
- CTD is highly recommended in US after July 03,
not required - Likely CTD will never be mandatory in US
- Would require change in US law
- FDA expects rather than requires
18CTD Implementation Issues
- At national level for each ICH party, a local
version of ICH approved guidance is published. - Wording in the core CTD may be slightly different
among regions due to specific editing for local
regulations. - Does not affect common understanding by the
parties of the ICH CTD. - However, some region-specific expectations and
requirements exist.
19Region-specific requirements
- Module 1 (all)
- regional administrative information (forms),
labeling, Environmental Risk Assessment,
signature of experts... - Module 3 (3.2R and 2.3R summary)
- US Method validation package, comparability
protocols - US and Canada Executed batch records
- EU Process validation scheme for drug product,
medical device - Module 5 (no location specified)
- ISE, ISS and case report forms if required by FDA
- tabulated list of trial subjects if required by
MHLW
20Implementation in EU for MRPs
- CPMP has clarified CTD implementation
requirements for ongoing MRPs. - For submissions made to RMS in old format before
July 03, where MRP starts after July 03, the
CMSs will accept old EU format until Dec 31,
2004. - SPRI example Ezetimibe
- After July 03, CTD is mandatory for all initial
submissions under MRP.
21SPRIs CTD Implementation recommendations for
ongoing procedures
- Line extensions
- EU DS reformatted to CTD with identical content
- US cross reference to approved DS application IF
electronic - DP in CTD format
- EU Variation
- All new data in CTD format
- US Supplement
- Follow format of original NDA
22CTD Implementation by SPRI Source Areas
- DevOps
- Document Quality Initiative for report templates
and sample reports according to CTD - DSM
- Tabular formats and summary document templates
revised for CTD - Clinical
- No content change required to CSRs
- Different summary documents required
23Making a CTD Submission
- Submission format as defined by M4 is paper
- Electronic applications before July 03 must be
hybrid based on old electronic guidelines with
CTD pieces mapped in - Electronic CTD guidance is separate and lags
behind CTD for definition and implementation
24CTD Structure
- Full dossier contains 5 Modules
- Only Modules 2 - 5 are CTD
- Module 1 - region-specific but always included
in complete CTD structure - Module 2 - All summaries/overviews
- Module 3 - CMC (Quality)
- Module 4 - Preclinical
- Module 5 - Clinical
25 Non-clinicalSummary
1.1 Overall ToC inc. Mod 1-5
Not part ofthe CTD
Module 1 Regional Administrative Information
2.1 ToC of the CTD (Mod 2, 3, 4, 5)
2.2 CTD Introduction
Module 2
Non-clinicalOverview
ClinicalOverview
2.3
2.4
2.5
QualityOverallSummary
CTD
ClinicalSummary
2.6
2.7
4.0
5.0
3.0
Module 3 Quality
Module 4 Non-clinicalStudyReports
Module 5 ClinicalStudyReports
3.1 ToC for Mod 3
5.1 ToC for Mod 5
4.1 ToC for Mod 4
26Module 2 - CTD Summaries
- 2.1 Overall CTD ToC
- 2.2 CTD Introduction
- 2.3 Quality Overall Summary
- 2.4 Non-Clinical Overview
- 2.5 Clinical Overview
- 2.6 Non-Clinical Written and Tabulated
Summaries - 2.7 Clinical Summary
272.2 CTD Introduction
- General introduction to the pharmaceutical,
including - pharmacologic class
- mode of action
- proposed clinical use
- Typically 1 page
282. 3 Quality Overall Summary - Content
- A summary that follows the scope and outline of
the Body of Data in Module 3 - Emphasize and discuss critical key parameters of
the product - Discuss key issues to integrate information from
Module 3 and other modules - Typically 40 pages excluding tables, figures
292. 3 Quality Overall Summary - Format
- 2.3 Introduction
- 2.3.S Drug Substance
- 2.3.P Drug Product
- 2.3.A Appendices
- 2.3.R Regional Information
302. 4 Nonclinical Overview - Content
- An integrated and critical assessment of the
pharmacologic, pharmacokinetic, and toxicologic
evaluation - Discuss relevant guidance, and any deviations
from guidance should be discussed and justified - Nonclinical testing strategy should be justified,
including GLP status of submitted studies - Discuss associations with quality
characteristics, clinical trial results, effects
with related products - Typically 30 pages
312. 4 Nonclinical Overview - Format
- 2.4.1 Overview of Nonclinical Testing Strategy
- 2.4.2 Pharmacology
- 2.4.3 Pharmacokinetics
- 2.4.4 Toxicology
- 2.4.5 Integrated Overview and Conclusions
- 2.4.6 List of Literature Citations
322. 5 Clinical Overview - Content
- Highest level summary and analysis of clinical
data and overall clinical development plan - Overview of the clinical part of the dossier with
succinct discussion and interpretation - Critical analysis of clinical data for efficacy
and safety, as well as other relevant information
(e.g. pertinent animal data or quality issues) - Typically 30 pages
332.5 Clinical Overview - Format
- 2.5.1 Product development rationale
- 2.5.2 Overview of Biopharmaceutics
- 2.5.3 Overview of Clinical Pharmacology
- 2.5.4 Overview of Efficacy
- 2.5.5 Overview of Safety
- 2.5.6 Benefits and Risks Conclusions
- 2.5.7 References
342.6 Nonclinical Written and Tabulated Summaries -
Content
- Integrate information across studies and across
species - Primarily text, with examples of tables and
figures - Exposure in test animals should be related to
exposure in humans given maximum intended doses - Age, gender, and metabolite-related effects
- In vitro studies first, then in vivo
- Ordered by species, route, duration
- Typically 100-150 pages
352.6 Written and Tabulated Summaries - Format
- 2.6.1 Introduction
- 2.6.2 Written Summary of Pharmacology
- 2.6.3 Tabulated Summary of Pharmacology
- 2.6.4 Written Summary of Pharmacokinetics
- 2.6.5 Tabulated Summary of Pharmacokinetics
- 2.6.6 Written Summary of Toxicology
- 2.6.7 Tabulated Summary of Toxicology
362. 7 Clinical Summary - Content
- Provides factual summary and support for
conclusions and critical issues identified in the
Clinical Overview - Comparison of results across studies with
integration of clinical information - Analysis of all relevant information for dosing
recommendations - Typically 50-400 pages (excluding tables)
372.7 Clinical Summary - Format
- 2.7.1 Summary of biopharmaceutic studies and
associated analytical methods - 2.7.2 Summary of clinical pharmacology (including
clin micro characterization studies) - 2.7.3 Summary of clinical efficacy
- 2.7.4 Summary of clinical safety
- 2.7.5 References
- 2.7.6 Synopses of individual studies
38Clinical Overview vs Clinical Summary
- Clinical Overview (2.5)
- critical analyses of efficacy, safety, and
benefit/risk - links the dossier with the label
- links all aspects of the development program
- Clinical Summary (2.7)
- comprehensive factual summary of all relevant
data, including cross study analyses and
post-marketing experience - includes references and synopses of clinical
studies
39Whats New with CTD?
- Granularity and pagination of documents within
modules and study reports - Definition of discrete header information for
documents within modules - Cross referencing between modules
- Confusion about ISS requirement for US
40Cross references between modules
- Quality and Nonclinical/Clinical
- Quality module should include appropriate
reference to modules 4 and 5 for drug substance
and drug product batch information and
formulation development issues - Process change information should cross reference
reports in modules 4 or 5 that demonstrate
comparability after the process changes
41Cross references between modules
- Nonclinical and Quality
- Nonclinical overview should address
- relevance of analytical methods used
- quality characteristics of human drug as relates
to nonclinical findings - impurities and degradants present in drug
substance and product and what is known of their
potential pharmacologic and toxicologic effects
42Cross references between modules
- Nonclinical and Clinical
- Nonclinical overview should include
- Assessment of limitations and utility of
nonclinical studies for prediction of potential
AEs in humans - associations between nonclinical data and results
of clinical trials - relevance of pharmacokinetic and nonclinical
models, including derived parameters - effects seen with related products, metabolites,
excipients
43US Need for ISS?
- FDA to reissue guideline to clarify what should
be included as ISS for CTD submissions - ISS should be integrated analysis, not summary
- Lengthy integrated analyses unlikely to be fully
captured in shorter Module 2 documents - Integrated safety analysis in Module 5 for US
- FDA recommends early discussion with review
division for agreement or questions
44FDA Experience with CTD
- FDA reviewer training ongoing
- 10 CTD submissions to CDER (across 7 review
divisions) - No RTFs
- Most have been supplements, not full NDAs
- Several rolling submissions in CTD
- Several hybrids (CTD/NDA, paper/elec)
45Problems noted by FDA
- Deletion or renumbering/renaming of CTD sections
- Additional decimal points in numbering - wont
match e-CTD structure - Incorrect regional sections in Quality module
- Advise to strictly follow guidance and examples
46Next step What is e-CTD?
- Guidelines and technical specifications for
submission of CTD dossier electronically - Reached step 4 (adoption of final) Sept 12, 2002
- Designed to support full life cycle of regulatory
submission - Facilitate electronic viewing, navigation,
searching, updating
47eCTD Impact
- Technological
- XML format for identifying individual files and
creating ToC - requires new tools to create, manage, review
- Procedural
- eCTD specification will have significant impact
on company processes from authoring to archiving - Document granularity and metadata must be defined
up front
48eCTD Implementation Activities
- Step 4 - September, 2002
- Step 5 - To be Implemented in all regions
- Under development
- eCTD Viewer for review
- XML tools
- Training, Training, Training
4921 CFR Part 11 Considerations
- Electronic submissions include electronic records
- Electronic records are subject to 21 CFR Part 11
according to predicate rules - Examples of impact
- Versions of documents included in submissions and
xml attributes assigned to each submission file
must include audit trail for changes - Lifecycle management tool(s) and strategy must
comply with records requirements
50WRAs CTD Initiatives
- CTD Task Force established within WRA
- Identify and track submissions that will be in
CTD format - Establish Cross Functional Task Force with
representatives from across SPRI to advise and
coordinate CTD implementation issues - Initiate Scoping Project for new technology and
processes required to support eCTD - Establish Working Groups to ensure implementation
of CTD format submissions in a timely and
efficient manner
51CTD Working Groups in WRA
- CTD Publishing Working Group
- Purpose define publishing/template standards and
processes for CTD submissions, including future
electronic CTD requirements - Representatives from WRA, Source areas,
Publishing groups, RIS - WRA Implementation Working Group
- Purpose provide communication and training on
CTD guidance and SPRI implementation strategies - Communication teams available using WRA
representatives and experts
52CTD Working Groups in WRA
- Subsidiary Communication
- Purpose provide communication to subsidiaries on
SPRI's implementation of CTD guidance - Periodic communications as information becomes
available, including e-CTD information - Global Dossier Support
- Purpose define requirements and processes
necessary to ensure SPRI's CTD format submissions
will be adequate for global subsidiary submission
needs - Communicate with subsidiaries to identify
additional support/processes required with CTD
dossiers (including regional and module 1
requirements)
53CTD Working Groups in WRA
- Frequently Asked Questions Working Group
- Purpose provide coordinated responses to CTD
related questions from members of WRA and SPRI,
as well as subsidiaries - Q As on WRA CTD web site for reference
54