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FDA Regulation of Pharmaceuticals and Devices

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FDA Regulation of Pharmaceuticals and Devices Jean Toth-Allen, Ph.D. Good Clinical Practice Program Office of Science and Health Coordination Office of the Commissioner – PowerPoint PPT presentation

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Title: FDA Regulation of Pharmaceuticals and Devices


1
FDA Regulation of Pharmaceuticals and Devices
  • Jean Toth-Allen, Ph.D.
  • Good Clinical Practice Program
  • Office of Science and Health Coordination
  • Office of the Commissioner

2
Overview
  • FDA regulations versus 45 CFR Part 46
  • Pharmaceuticals and devices
  • What they have in common
  • How they differ
  • Bioresearch Monitoring (BIMO)
  • Resources
  • Acronyms

3
FDA versus 45 CFR Part 46 -1
  • FDA regulations found in Title 21, Code of
    Federal Regulations 21 CFR
  • Regulate products
  • Coverage includes but not limited to
  • Nonclinical studies
  • Clinical studies
  • Human Subject Protection
  • Institutional Review Boards (IRBs)
  • Manufacturing
  • Labeling
  • Post-market adverse event reporting

4
FDA versus 45 CFR Part 46 -2
  • FDA regulations speak to
  • Manufacturers
  • Importers/exporters
  • Study sponsors
  • Nonclinical laboratory personnel
  • Clinical investigators
  • IRBs
  • Medical product users hospitals, clinics,
    nursing homes, individual practitioners

5
FDA versus 45 CFR Part 46 -3
  • 45 CFR Part 46 - regulates studies with human
    subjects that are federally funded biomedical,
    sociological, behavioral, educational
  • Subpart A Common Rule general human subject
    protections
  • Remaining subparts cover research protections in
    studies with vulnerable populations (pregnant
    women, fetuses, neonates, prisoners, children)
  • Speaks to institutions and their IRBs
  • Crosses government agencies enforcement led by
    the Office of Human Research Protections (OHRP)

6
FDA versus 45 CFR Part 46 -4
  • Human subject protections of Common Rule covered
    by FDA regulations in
  • 21 CFR Part 50 Protection of Human Subjects
  • 21 CFR Part 56 Institutional Review Boards
  • 45 CFR 46, Subpart D comparable to 21 CFR 50,
    Subpart D research with children
  • Preambles to FDA regulations identify the need
    for special protections for other vulnerable
    populations but FDA regulations do not separately
    address

7
FDA versus 45 CFR Part 46 -5
  • Both may apply to a given research study
  • If there are regulatory differences, the more
    stringent requirements usually apply (e.g., FDA
    regulations allow for very few exceptions from
    informed consent)

8
Pharmaceuticals versus devices
  • Pharmaceuticals (drugs and biologics) are covered
    by different FDA regulations from those covering
    devices, though some regulations are shared
  • Many differences result from differences among
    the products themselves

9
SHARED REGULATIONS
  • Part 50 Protection of Human Subjects
  • Part 56 Institutional Review Boards
  • Part 54 Financial Disclosure by Clinical
    Investigators
  • Part 58 Good Laboratory Practices for
    Nonclinical Laboratory Studies
  • Part 11 Electronic Records Electronic
    Signatures

10
COMPLIANCE PROGRAMS
  • Programs are Agency-wide (available at
    http//www.fda.gov/oc/gcp/compliance.html)
  • Contain instructions to FDA field personnel for
    inspecting regulated entities
  • Center-specific differences are included where
    applicable

11
DIFFERENCES
  • Nature of product, firms, and studies
  • Statutory distinctions
  • Regulatory distinctions

12
Nature of product
  • Pharmaceuticals (drugs biologics)
  • Molecular entities
  • Limited shelf life
  • Long market life
  • Potential for interactions with other drugs
  • Wrong drug/dose issues
  • Devices
  • Complex components
  • Many durable equipment
  • Short product cycles tweaking of design
  • Device malfunctions
  • User errors

13
Nature of firms
  • Devices
  • Entrepreneurial firms common
  • Device developer often involved
  • Many have minimal clinical trial experience
  • Sponsor-investigators common
  • Pharmaceuticals
  • Large, often multi-national firms
  • Extensive clinical trial experience

14
Studies
  • Devices
  • Nonclinical
  • biocompatibility
  • nonclinical studies may suffice
  • Clinical
  • subject populations usually 100s
  • pilot study possible pivotal
  • blinding less common
  • controls vary
  • CI training often critical (Human Factor concerns)
  • Pharmaceuticals
  • Nonclinical
  • toxicology
  • Clinical
  • subject populations commonly 1000s
  • phases
  • routinely blinded
  • placebo common control

15
Statutory Distinctions
  • Devices lack market exclusivity provisions
  • Waxman-Hatch pediatric studies and extension of
    patent (drugs)
  • Orphan drug tax exemptions (drugs/biologics)
  • FDAMA (1997) included a least burdensome
    provision for devices

16
Regulations
  • Pharmaceuticals
  • 21 CFR Part 312 IND
  • Part 314 NDA
  • Part 600 general biologics provisions
  • Part 601 BLA
  • Devices
  • 21 CFR Part 812 IDE
  • Part 809 - IVDs
  • Part 814 PMA
  • Part 807, Subpart E 510(k)

17
Clinical Investigators -1
  • Common responsibilities across products
  • Personally conduct or supervise the study
  • Ensure site study team is properly trained
  • Follow FDA regulations regarding HSP, including
    obtaining and maintaining IRB approval and
    obtaining subject informed consent
  • Follow the approved investigational plan/protocol

18
Clinical Investigators -2
  • CI responsibilities (cont.)
  • Maintain adequate, complete, and accurate study
    records
  • Submit all required reports (e.g., IND safety
    reports, study progress reports)
  • Maintain control of the investigational product

19
Sponsors -1
  • Common responsibilities across products
  • Obtain FDA approval, where necessary, before
    study initiation
  • Manufacture and label investigational products
    appropriately
  • Initiate, withhold, or discontinue clinical
    trials as required
  • Refrain from commercialization of investigational
    products
  • Maintain control of the investigational product

20
Sponsors -2
  • Sponsor responsibilities (cont)
  • Select qualified investigators and disseminate
    appropriate information to them
  • Select qualified monitors and ensure the study is
    adequately monitored
  • Evaluate and report adverse experiences
  • Maintain adequate records
  • Submit progress and final reports

21
Regulatory distinctions -1
  • Pharmaceuticals
  • Adequate, well-controlled trials
  • CROs 312.52 transfer of regulatory
    obligations
  • Form FDA 1572
  • FDA agreement not usually required before
    enacting studies changes
  • AE reports during study may use Form 3500A (Med
    Watch) 312.32(c)(B)
  • Devices
  • Valid scientific evidence
  • CROs regulations silent save for definition of
    monitor 812.3(j)
  • Investigator agreement 812.43(c)
  • Significant study changes require IDE supplement
    approval
  • AE reports during study not to go to MedWatch
    (i.e., not use MDR)

22
Regulatory distinctions -2
  • Pharmaceuticals
  • Manufacturing cGMPs Parts 210 211 Part
    606 for blood blood products
  • MedWatch reports for approved pharmaceuticals are
    voluntary
  • Devices
  • Manufacturing Part 820 (QSR)
  • MDRs for approved devices are mandatory Part 803

23
Additional Device Distinctions -1
  • Classes of Devices risk-based determination
  • 21 CFR 860 classification procedures
  • 21 CFR 862 through 892 specific device
    classifications by product type

24
Additional Device Distinctions -2
  • Cleared devices 510(k)
  • 21 CFR 807, subpart E Premarket Notification
    Procedures
  • substantially equivalent
  • Approved devices
  • 21 CFR Part 814
  • PMA, PDP, HDE
  • Safety and effectiveness PMA PDP
  • Safety HDE

25
Additional Device Distinctions -3
  • Significant risk/non-significant risk studies
  • Exempt studies/in vitro diagnostics (IVDs)
  • Protocol changes and 5-day notices

26
Significant Risk (SR)
  • Regulatory definition (21 CFR 812.3(m)) device
    that presents potential for serious risk to
    health, safety, or welfare of a subject,
    particularly if it
  • Is intended as an implant
  • Is purported or represented for use in
    supporting or sustaining life
  • Is for a use of substantial importance in
    diagnosing, curing, mitigating, or treating
    disease, or otherwise preventing impairment of
    human health

27
Non-Significant Risk (NSR)
  • Decision based on use of device in study
  • Sponsor makes initial assessment
  • IRB makes determination
  • FDA can disagree
  • If NSR study, no IDE application to FDA
  • Informed consent required
  • Abbreviated requirements apply (21 CFR 812.2(b))
  • Considered to have an IDE

28
Exempt device studies
  • 21 CFR 812.2 (c)
  • Studies with cleared devices, used as specified
    in clearance
  • By policy, extended to approved devices, with
    same conditions
  • Diagnostic devices that meet requirements
    specified basically IVDs, as references
    labeling conditions of 809.10

29
In Vitro Diagnostics (IVDs)
  • SR/NSR/exempt studies
  • Exempt if
  • labeled according to 21 CFR 809.10
  • noninvasive
  • noninvasive sampling or no significant risk
  • does not introduce energy into a subject
  • not used as the diagnostic for
    determination of treatment

30
Significant Risk IVD Studies
  • If study involves invasive sampling that
    presents a significant risk
  • If results from use of an investigational IVD
    will determine treatment, could inaccurate
    results
  • be life-threatening
  • result in permanent functional impairment
  • result in permanent structural damage
  • necessitate medical or surgical intervention
    to prevent impairment or damage

31
IVD Studies HSP Issues
  • Studies on specimens included in device
    definition of a subject (812.3(p))
  • Expedited review by IRB possible
  • Confusion with 45 CFR Part 46
  • Privacy confidentiality
  • FDA data audits

32
Additional IVD issues -1
  • Drug-diagnostic co-development concept paper
    April 2005 http//www.fda.gov/cder/genomics/pha
    rmacoconceptfn.pdf
  • Guidance on use of left-over specimens that are
    not individually identifiable April 2006
    http//www.fda.gov/cdrh/oivd/guidance/1588.html

33
Additional IVD issues -2
  • Interim final rule regarding exception from
    informed consent (bioterrorism, emerging
    diseases) September 2006 http//www.fda.gov/OHRM
    S/DOCKETS/98fr/E6-8790.pdf
  • Draft guidance on Analyte Specific Reagents
    (ASRs) September 2006 http//www.fda.gov/cdrh/oi
    vd/guidance/1590.pdf

34
Additional IVD issues -3
  • Draft guidance on Multivariate Index Assays (MIA)
    September 2006 http//www.fda.gov/cdrh/oivd/guid
    ance/1610.html
  • Public meeting held February 8, 2007

35
WEB PAGE
  • Office of In Vitro Diagnostic Device Evaluation
    and Safety (OIVD)
  • www.fda.gov/cdrh/oivd/

36
IDE Protocol Changes -1
  • IDE Supplement required if changes significantly
    affect
  • validity of data
  • scientific soundness of study
  • rights, safety, or welfare of subjects

37
IDE Protocol Changes -2
  • Examples when supplement required
  • indication change
  • different type of study control
  • alternative primary endpoint
  • reduction in study population size
  • change in method of evaluation
  • early termination of the study

38
IDE Protocol Changes -3
  • 5-day notice
  • 1998 amendment to Part 812- if changes do not
    meet requirements for an IDE supplement
  • Examples
  • additional measurements
  • more targeted subject criteria
  • more frequent follow-ups
  • change in secondary endpoints

39
IDE Protocol Changes -4
  • GUIDANCE DOCUMENT issued by Office of Device
    Evaluation (ODE)
  • Changes or Modifications During the Conduct of a
    Clinical Investigation - issued May 29, 2001
  • www.fda.gov/cdrh/ode/guidance/1337.html
  • www.fda.gov/cdrh/ode/guidance/1337.pdf

40
BIMO Program
  • Comprehensive program of on-site inspections and
    data audits designed to monitor all aspects of
    the conduct and reporting of FDA-regulated
    research

41
BIMO Program Objectives
  • To ensure
  • the integrity of data supporting submissions to
    the Agency
  • the rights, safety, and welfare of study subjects

42
Bioresearch Monitoring (BIMO) -1
  • Specific group in each Center to oversee BIMO
    program
  • Bioresearch Monitoring Branch/Division of
    Inspections and Surveillance/Office of Compliance
    CBER
  • Division of Scientific Investigations
    (DSI)/Office of Compliance - CDER
  • Division of Bioresearch Monitoring (DBM)/Office
    of Compliance CDRH

43
Bioresearch Monitoring (BIMO) -2
  • Present BIMO contacts
  • CBER
  • Pat Holobaugh
  • Branch Phone - (301) 827-6220
  • CDER
  • Gary DellaZanna
  • Division Phone - (240) 276-8817
  • CDRH
  • Michael Marcarelli
  • Division Phone - (240) 276-0125

44
Bioresearch Monitoring (BIMO) -3
  • Headquarters BIMO staff
  • Interact with Center reviewers
  • Issue inspection assignments
  • Interact with ORA BIMO investigators
  • Review and classify EIRs
  • Issue post-inspectional correspondence
  • Take part in regulatory actions (AIP, DQ)
  • Provide staff for ORA BIMO investigator training
  • Provide speakers for outreach activities

45
Inspection assignments
  • Assigned by HQ BIMO staff
  • Majority issued on receipt of an application or
    submission
  • When for marketing, supporting study usually
    completed
  • for cause usually when suspicion of
    integrity or human subject protection (HSP) issue
    often for on-going studies

46
BIMO Compliance Programs
  • Good Laboratory Practice CP 7348.808
  • Institutional Review Board CP 7348.809
  • Sponsor, Contract Research Organizations (CROs),
    Monitors CP 7348.810
  • Clinical Investigator CP 7348.811
  • In Vivo Bioequivalence CP 7348.001
  • http//www.fda.gov/oc/gcp/compliance.html

47
Inspectional follow-up
  • Final inspection classification made by HQ
  • Post-inspectional correspondence issued to
    inspected party
  • Administration/regulatory options vary by party
    inspected
  • Recommendations may also be sent to those
    reviewing a research or marketing
    application/submission

48
GCP/BIMO Inspections Completed FY 2006
Center CI IRB Spon/Mon Total CBER 108 8
5 121 CDER 401
66 32 499 CDRH 203
48 51 302 CFSAN 0 0
0 0 CVM 41
n/a 1 42 All Centers 753
122 89 964

49
GCP/BIMO Inspections by CenterFY 2006
4
13
31
n 964
52
50
GCP/BIMO Inspections by Type FY 2006
9
13
n 964
78
51
Clinical Investigators
  • Compliance inspection program covers study
    specific inspections and audits of CIs
    (physicians, veterinarians, others) conducting
    clinical trials on human and veterinary products
  • Usually preannounced
  • Inspection includes an interview with the
    clinical investigator and pertinent study staff
    an in-depth study/data audit to validate study
    findings and verify compliance with regulations

52
BIMO CI Inspections FY 2006All Centers
completed classified
4
51
44
n 595
53
Most Common CI Deficiencies
  • Failure to follow the investigational plan
  • Protocol deviations
  • Inadequate recordkeeping
  • Inadequate accountability for the investigational
    product
  • Inadequate subject protection including
    informed consent issues

54
Administrative/regulatory options
  • Untitled or Warning letter
  • Initiation of disqualification procedures
  • Sharing information with Office of Criminal
    Investigations (OCI) for pursuit of prosecution
  • Recommendation for rejection of site/study data

55
Institutional Review Boards (IRBs)
  • Board, committee, or other group formally
    designated by an institution to
  • review
  • approve the initiation of
  • conduct periodic review of
  • research involving human subjects
  • Primary purpose of review ensure protection of
    rights, safety, and welfare of the human subjects

56
Applicable regulations
  • 21 CFR Part 50 Protection of Human Subjects
    contains informed consent requirements
  • 21 CFR Part 56 Institutional Review Boards
    includes specifics of IRBs make-up and duties

57
IRB Inspections
  • Compliance program provides for regularly
    scheduled inspections to verify compliance with
    regulations
  • Objective is protection of human subjects rather
    than data validation
  • Inspections
  • usually preannounced
  • consist of
  • interviews with responsible IRB staff
  • in-depth review of SOPs, files, and records
  • review of active studies to assess IRB operations

58
IRB Inspections FY 2006All Centers completed
classified
4
47
49
n 68
59
Most common IRB deficiencies
  • Inadequate initial and/or continuing review
  • Inadequate SOPs
  • Inadequate membership rosters
  • Inadequate meeting minutes
  • Specific to devices lack of or incorrect SR/NSR
    determination

60
Administrative/regulatory options
  • Untitled or Warning letter
  • Restriction of functions
  • prohibiting increase of subject population in
    on-going FDA-regulated studies
  • prohibiting review of new FDA-regulated studies
  • Initiation of disqualification procedures

61
Sponsors/CROs/Monitors
  • Compliance program
  • covers parties responsible for initiating and
    overseeing research and for submitting research
    results to FDA
  • lists sponsor responsibilities
  • Inspections
  • usually preannounced
  • consist of interviews and audits of study records
  • objective is to both evaluate compliance with
    regulations and validate data
  • commonly assigned for NDAs for new molecular
    entities (NMEs) and for PMAs

62
Sponsor-Monitor InspectionsFY 2006 - All Centers
completed classified
14
52
34
n 64
63
Most common S/M deficiencies
  • Inadequate monitoring
  • Failure to bring investigators into compliance
  • Inadequate accountability for the investigational
    product

64
Administrative/regulatory options
  • Untitled or Warning letter
  • Invocation of the Application Integrity Policy
    (AIP)
  • Refusal to accept site or study data
  • Denial of NDA/BLA/PMA
  • Sharing information with Office of Criminal
    Investigations (OCI) for pursuit of prosecution

65
Bioequivalence (BEQ) studies
  • Primarily support
  • Abbreviated drug applications (ANDA) for generic
    drugs
  • Applications for new form or formulation of
    marketed drugs
  • Compliance program
  • Provides for inspection of both clinical
    facilities and analytical laboratories involved
    with BEQ studies
  • Focuses on inspecting
  • New facilities
  • Previously violative sites
  • Suspicious data
  • Non-conventional studies
  • Studies pivotal to NDA decision-making

66
BEQ inspections
  • Conducted by an inspection team, including a
    laboratory chemist and an ORA field investigator
  • May involve multiple facilities
  • Include
  • physical inspection and technical evaluation of
    laboratory facilities and methods
  • audits of analytical and clinical data

67
Resources - 1
  • GCP website http//www.fda.gov/oc/gcp/
  • Links include
  • pertinent regulations and guidance
  • FDA contacts
  • related sites with HSP/GCP information
  • Recent documents of interest relate to
  • Data monitoring committees
  • Use of a centralized IRB
  • AE reporting
  • CI supervisory responsibilities
  • Computerized systems in clinical trials

68
Resources - 2
  • GCP queries e-mail account (about 1,200 queries
    answered per year) gcp.questions_at_fda.hhs.gov
  • Previous answers captured http//www.fda.gov/oc/
    gcp/redactedEmails/default.htm
  • Listserve via GCP website notice of updates
    on FDAs GCP/HSP activities
  • Site maintained by Good Clinical Practice Program
    (GCPP)

69
Acronyms -1
  • 510(k) premarket notification
  • AE adverse event (or effect)
  • AIP Application Integrity Policy
  • BEQ bioequivalence
  • BIMO Bioresearch Monitoring
  • BLA biologics license application
  • CBER Center for Biologics Evaluation and
    Research
  • CDER Center for Drug Evaluation and Research

70
Acronyms -2
  • CDRH Center for Devices and Radiological Health
  • CFR Code of Federal Regulations
  • CI clinical investigator
  • cGMPs current good manufacturing practices
  • CRO contract research organization
  • DBM Division of Bioresearch Monitoring
  • DSI Division of Scientific Investigations
  • DQ disqualification

71
Acronyms -3
  • EIR establishment inspection report
  • FDAMA Food and Drug Administration
    Modernization Act (1997)
  • GCP Good Clinical Practice
  • GCPP Good Clinical Practice Program
  • HDE humanitarian device exemption
  • HSP human subject protection
  • HQ headquarters
  • IDE investigational device exemption
  • IND investigational new drug

72
Acronyms -4
  • IRB institutional review board
  • IVD in vitro diagnostic
  • MDR medical device report
  • NAI no action indicated
  • NDA new drug application
  • NME new molecular entity
  • NSR non-significant risk
  • OAI official action indicated
  • OHRP Office of Human Research Protections

73
Acronyms -5
  • OIVD Office of In Vitro Diagnostic Device
    Evaluation and Safety
  • ORA Office of Regulatory Affairs
  • PDP product development protocol
  • PMA premarket approval
  • QSR quality system regulation
  • SOPs standard operating procedures
  • SR significant risk
  • VAI voluntary action indicated
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