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TENOFOVIR DF

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Four Week Gavage Studies. Doses up to 500 mg/kg/day in rats. Little toxicity seen ... 42 Week Gavage Study ... Toxicity in Dog 42 Week Gavage Study ... – PowerPoint PPT presentation

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Title: TENOFOVIR DF


1
TENOFOVIR DF
  • DIVISION OF ANTIVIRAL DRUG PRODUCTS ADVISORY
    COMMITTEE
  • OCTOBER 3, 2001

2
Advisory Committee Issues
  • Treatment indication
  • Nonclinical and clinical assessment of the
    effects of Tenofovir DF on bone
  • Analysis of resistance data
  • Design of trials for traditional approval

3
Advisory Committee Issues
  • Proposed treatment indication
  • VIREADTM , in combination with other
    antiretroviral agents, is indicated for the
    treatment of HIV-infected adults. This
    indication is based on analyses of plasma HIV-1
    RNA levels and CD4 counts in two controlled
    trials of VIREADTM of 24 and 48 weeks duration in
    treatment experienced adults with evidence of
    HIV-1 replication despite ongoing antiretroviral
    therapy. At present, there are no results from
    controlled trials evaluating the effect of
    tenofovir on clinical progression of HIV.

4
Advisory Committee Issues
  • Treatment indication
  • Pivotal studies 902 and 907 were conducted in a
    treatment experienced adult population
  • on stable ARV therapy for at least 8 weeks
  • median duration of therapy of 4 - 5 years
  • mean baseline viral load 3.4 log10
  • mean baseline CD4 counts 410 cells/mm3
  • baseline resistance mutations - NRTI(94),
    PI(58), NNRTI(40)
  • Requesting AC input regarding labeled indication

5
Advisory Committee Issues
  • Bone Effects
  • BMD reductions/osteomalacia were observed in 3
    species
  • Mechanism not fully defined
  • Clinical trial data limited for BMD
  • Seeking advice regarding
  • implications of nonclinical and clinical bone
    data
  • recommendations for additional studies
  • monitoring plans

6
Advisory Committee Issues
  • Virology data
  • VIREADTM NDA contains more virology data than
    other NDA
  • Many analyses evaluating HIV RNA response by
    baseline phenotype and genotype
  • Seeking AC comments on
  • clinical resistance analyses
  • inclusion in product labeling

7
VIREADTM NDA
  • Submitted in May 2001
  • submitted under accelerated approval regulations
  • for serious and life-threatening conditions
  • provide meaningful therapeutic benefit over
    existing therapies
  • drug has an effect on a surrogate endpoint that
    is reasonably likely to predict clinical benefit
    or on a clinical endpoint other than survival or
    irreversible morbidity
  • DAVDP requires 2 adequate and well-controlled
    trials of 24 weeks duration

8
Advisory Committee Issues
  • Traditional approval plans
  • Continued marketing is subject to the need to
    confirm findings to establish clinical benefit
  • DAVDP requires 2 studies of 48 weeks duration to
    support traditional approval
  • Study 903 is being conducted in naïve subjects
    and is fully enrolled
  • Compares tenofovir DF to stavudine on a
    background of lamivudine and efavirenz
  • Seeking AC advice regarding design of second
    study in pediatric population

9
Advisory Committee Agenda
  • 900 a.m. Gilead Presentation
  • 945 a.m. FDA Presentation
  • 1030 a.m. Break
  • 1045 a.m. Discussion
  • 1200 p.m. Lunch
  • 100 p.m. Open Public Hearing
  • 200 p.m. Continue Discussion and Questions to
    the Committee
  • 500 p.m. Adjourn

10
NDA 21-356Tenofovir Disoproxil Fumarate
  • Kimberly Struble, PharmD
  • Senior Regulatory Review Officer
  • Division of Antiviral Drug Products

11
Presentation Outline
  • NDA Submission Overview
  • Efficacy Summary
  • Clinical Virology Results
  • Nonclinical Assessment of Bone Abnormalities -
    Jim Farrelly, Ph.D.
  • Clinical Assessment of Bone Abnormalities
  • Second Study for Traditional Approval
  • Summary of Regulatory Issues

12
NDA Overview
  • Submission Date May 1, 2001
  • Proposed Dosage Tenofovir DF 300 mg once daily
  • Indication Sought Treatment of HIV infection

13
NDA SubmissionFour Clinical Studies
  • Supportive
  • 901 Phase 2 dose finding (35 days)
  • 908 Compassionate Use Safety
  • Principal
  • 902 and 907 Randomized, Double-blind Placebo
    Controlled (24 weeks)

14
Principal Studies 902 and 907
  • Similar Study Designs
  • Safety and Efficacy of TNV vs PBO when added to
    stable ARV regimen in treatment experienced
    patients
  • Similar baseline characteristics
  • Differences in baseline HIV RNA
  • 902 Baseline HIV RNA 400-100,000 copies/mL
  • 907 Baseline HIV RNA 400-10,000 copies/mL

15
Primary Efficacy Endpoint
  • Primary endpoint Time weighted change in log10
    HIV RNA over 24 weeks (DAVG24)
  • DAVG is an acceptable endpoint for evaluating
    virologic responses in treatment experienced
    patients, such as those enrolled in 902 and 907
  • Secondary endpoints Proportion lt 400 and 50
    copies/mL

16
HIV RNA ResultsPlacebo vs Tenofovir 300 mg
17
Mean Change From Baseline HIV RNA
DAVG24 - 0.61
DAVG24 - 0.58
2
4
8
12
24
16
20
0
WEEKS
18
Proportion lt 400 and lt 50 copies/mL
Study 902
Study 907
Weeks
Weeks
19
CD4 Cell Count ResultsPlacebo vs Tenofovir 300
mg
20
CD4 Response Study 902
DAVG24 -3.6
DAVG24 -10.5
4
8
12
24
Weeks
21
CD4 Response Study 907
DAVG24 12.6
DAVG24 -10.6
Weeks
4
8
12
16
20
24
22
CD4 Response by Baseline CD4 Studies 902 and 907
23
Efficacy Summary
  • Mean viral load reductions similar for 902 and
    907 (Mean DAVG 0.5 - 0.6)
  • lt 400 and lt 50 copies/mL
  • numerical differences 902
  • statistically significant differences 907
  • Modest CD4 increases in study 907
  • No differences for CD4 in study 902 over 24 weeks

24
Efficacy Summary (cont.)
  • Study population in 902 and 907 may not be
    optimal for observing large increases in CD4,
    given only one new drug added to stable regimen
  • Addition of one new agent did not produce
    substantial increases in CD4 over time
  • Further evaluations of CD4 in studies with
    different designs are needed

25
Clinical Virology Results
26
Clinical Virology
  • Applicant HIV RNA response by prospectively
    defined baseline mutation subgroups
  • FDA Exploratory analyses to further investigate
    HIV RNA response according to presence or absence
    of specific NRTI mutations
  • Determine if specific mutations or mutational
    patterns affected response to tenofovir

27
Clinical Virology Limitations of FDA Analyses
  • Large number of potential comparisons limits
    ability to test for statistical significance
  • Limited of patients for some primary NRTI and
    multi-drug resistant mutations to determine
    clinical significance
  • Given these limitations FDA is soliciting
    feedback on the types of exploratory analyses
    conducted and recommendations for labeling

28
Genotypic Results
29
Genotypic Results
  • HIV RNA response by presence or absence of
    thymidine analogue mutations (TAMs)
  • TAMs are defined as
  • M41L
  • D67N
  • K70R
  • L210W
  • T215Y/F
  • K219Q/E/N

30
HIV RNA Response by Baseline TAMs
Mean DAVG24 (N)
67
-0.53 (79)
67 -
-0.62 (143)
70
-0.71 (67)
70 -
-0.54 (155)
219
-0.60 (57)
219 -
-0.58 (165)
31
HIV RNA Response by Baseline TAMs
Mean DAVG24 (N)
215 -
-0.80 (116)
-0.35 (106)
215
210 -
-0.70 (176)
210
-0.17 (46)
41 -
-0.78 (141)
-0.26 (81)
41
32
Impact of 215 Mutation on HIV RNA Response
Mean DAVG24 (N)
41 or 210
-0.25 (82)
No 41 or 210
-0.70 (25)
-0.80 (116)
215 -
33
Impact of 41 or 210 Mutation on HIV RNA Response
Mean DAVG24 (N)
No 41 or 210
-0.79 (139)
-0.26 (93)
41 or 210
34
HIV RNA Response by of Baseline TAMs Mean
DAVG24 (N)
35
Other NRTI Mutations and HIV RNA Response
  • L74V/I affects tenofovir efficacy
  • DAVG24 -0.17 (n18)
  • Rates similar regardless if 41 or 210 mutation
    present with 74 (-0.12 to -0.19)
  • K65R mutation reduces susceptibility to tenofovir
    in vitro
  • DAVG24 0 (N6)
  • More data needed to make any definitive
    conclusions

36
Phenotypic Results
37
Phenotypic Analyses
  • To determine if tenofovir or other NRTI baseline
    susceptibility affected response
  • Baseline TNF susceptibility
  • TNF lt 4 fold
  • DAVG24 -0.61 (n91)
  • TNF gt 4 fold
  • DAVG24 -0.12 (N9)

38
Resistance Summary
  • Genotypic data suggest potential for some cross
    resistance between tenofovir and specific NRTI
    mutations or patterns of mutations
  • However too few patients expressing some primary
    NRTI or multi-drug resistant NRTI mutations to
    determine clinical significance
  • No cross resistance between tenofovir and
    lamivudine

39
Resistance Summary
  • 41 or 210 mutation diminished responses, whereas
    67, 70, 215 and 219 did not
  • Number and types of TAMs affect tenofovir
    efficacy
  • Efficacy reduced for gt 3 TAMs which include M41L
    or L210W
  • K65R and L74V/I mutation may affect tenofovir
    efficacy
  • Reduced susceptibility to TNF (gt 4 fold) at
    baseline diminishes tenofovir efficacy

40
Safety Summary
41
Safety Summary
  • Treatment with TNF appears to be well tolerated
  • Most common AEs asthenia (19), headache (14),
    diarrhea (22), nausea (20) and pharyngitis
    (18)
  • GI events greater in TNF group vs PBO
  • diarrhea (22 vs 17)
  • flatulence (6 vs 2)
  • nausea (20 vs 15)
  • vomiting (12 vs 6)

42
Nonclinical Assessment of Bone Abnormalities
  • James G. Farrelly, Ph.D.
  • Pharmacology Supervisor

43
Toxicity in Rat and Dog Four Week Gavage Studies
  • Doses up to 500 mg/kg/day in rats
  • Little toxicity seen
  • Doses up to 30 mg/kg/day in dogs
  • Minor toxicity in kidney but no bone toxicity

44
Toxicity in Rat 42 Week Gavage Study
  • Doses _at_ 0, 30, 100, 300, 1000 mg/kg/d for 42 wks
    with 13 wk recovery and a 13 week interim
    evaluation
  • Bone Effects
  • ? Bone mineral content and density
  • ? Cortical thickness of femur
  • ? Deoxypyridinoline at three highest doses
  • ? Osteocalcin at the two highest doses
  • ? Plasma phosphorus
  • ? Urinary calcium and phosphorus
  • ? PTH

45
Toxicity in Dog 42 Week Gavage Study
  • Doses _at_ 0, 3, 10, and 30 mg/kg/d for 42 wks with
    13 wk recovery and a 13 week interim evaluation
  • Bone Effects
  • ? Bone mineral content and density
  • ? Urinary N-telopeptide
  • ? Urinary calcium and phosphorus
  • ? Bone specific ALP
  • ? 1,25-dihydroxy vitamin D3

46
Toxicity in Mouse 13 Week Gavage Study
  • Range-finding study to determine the maximum
    tolerated dose for a two year carcinogenicity
    study
  • Doses studied 0, 100, 300, 600 mg/kg/d
  • Toxicity was seen in the kidney and duodenum
  • Carcinogenicity study is still ongoing

47
Intravenous Study in Cynomolgus Monkeys
  • Monkeys were dosed for 14 days by the intravenous
    route at doses up to 25 mg/kg/day with tenofovir
  • No bone toxicities were seen in this study
  • There were treatment findings in the kidneys

48
Rhesus Monkey Efficacy Studies
  • Studies designed to assess efficacy against SIV
  • Doses Studied 10 and 30 mg/kg/day
  • Bone toxicities seen after 10 months dosing
  • Newborn monkeys showed earlier bone toxicity when
    dosed at 30 mg/kg/day
  • At 10 mg/kg/day, no bone toxicity was seen in
    newborns dosed for two years

49
Rhesus Monkey Efficacy Studies, Cont.
  • Bone Toxicity
  • Seen as abnormal growth plates and trabecula of
    femurs and ribs
  • Also seen were bone deformities and
    displacements, rib fractures and reduced bone
    density with bone loss
  • Reduction in serum phosphorus
  • Elevated ALP
  • Non-hyperglycemic glucosuria and proteinuria
  • Serum calcium unchanged

50
Rhesus Monkey Efficacy Studies, Cont.
  • It was concluded that treatment of rhesus monkeys
    at 30 mg/kg/day results in a mineralization
    defect in developing and growing cortical bone
  • The defect was considered to be osteomalacia
  • The defect was reversed by reducing the dose to
    10 mg/kg/day or stopping treatment

51
Reproductive Toxicology Studies
  • No bone toxicity was seen in reproductive
    toxicology studies
  • Rats dosed to 600 mg/kg/day
  • Rabbits dosed to 300 mg/kg/day

52
Conclusions
  • Tenofovir and tenofovir DF induce bone
    toxicities in three animal species consistent
    with a diagnosis of osteomalacia
  • The mechanism is unknown

53
Conclusions, Cont.
  • The evidence from toxicology studies in three
    species as well as from a number of in vivo and
    in vitro studies is consistent with the
    hypothesis that the bone effects are secondary to
    a negative phosphate balance associated with
    drug-related impairment of intestinal phosphate
    absorption and/or renal reabsorption of phosphate
    and not a direct effect on bone

54
Clinical Assessment of Bone Abnormalities
55
Animal Exposures in Relation to Human Exposures
  • Margin of safety
  • BMD reduction in rats and dogs 6-10 times higher
    than human exposures (AUC)
  • Osteomalacia in monkeys 12 times higher than
    human exposures (AUC)

56
Clinical Assessment of Bone Abnormalities
  • No clinically significant changes in phosphate,
    calcium, PTH or BMD observed over time
  • PTH and BMD only available for a small subset of
    patients

57
Incidence of Clinical Fractures
  • 5.5 in study 902
  • Proportion of patients with fracture in study 902
    is higher than that seen in FDA meta-analysis of
    13 trials
  • 2 (202/10166)
  • Observation may be due to small sample size but
    further investigation of potential safety signal
    warranted

58
(No Transcript)
59
Clinical Assessment of Bone Abnormalities
  • Review of entire non clinical and clinical safety
    and PK data, it is unlikely TNF-related fractures
    will occur over 48 weeks
  • Assuming mechanism is mediated by renal phosphate
    wasting or decreases in intestinal absorption of
    phosphate
  • No significant changes in renal parameters, in
    particular phosphate
  • Rate of fractures does not increase over 6 month
    time intervals

60
Clinical Assessment of Bone Abnormalities
  • Insufficient numbers of patients receiving
    prolonged TNF treatment and lack of control arm
    past 24 weeks
  • Therefore difficult to conclude whether or not
    TNF will cause clinical fractures over time or if
    the risk will increase over time

61
Traditional Approval
62
Traditional Approval Plans
  • Two studies required assessing HIV RNA over 48
    weeks
  • First study Treatment Naïve Patients
  • Study 903
  • TNF 3TC EFV vs D4T 3TC EFV
  • Second study
  • proposed in treatment experienced children

63
Two - Part Hybrid (N100)
2 wks
46 wks
Endpoint DAVG2 and DAVG48
Stable ARV gt 8 weeks randomized 11
TNF
TNF
PBO
PBO
OBR wk 2
  • Patient Population
  • HIV RNA gt 30,000 copies/mL
  • CD4 lt 20 or lt30 with OI in last 90 days
  • TX Experienced with at least 1 member of
    each drug class

64
Summary of Regulatory Issues
65
Summary of Regulatory IssuesIndication
  • Study population in studies 902 and 907 quite
    select
  • antiretroviral experienced
  • mean baseline values 3.4 log and 410 cells

66
Summary of Regulatory IssuesIndication
  • Committee discussion regarding most appropriate
    indication
  • For the treatment of HIV infection
  • includes both treatment naïve or treatment
    experienced patients
  • For the treatment of HIV infection in patients
    who have received prior antiretroviral therapy

67
Summary of Regulatory Issues Bone Abnormalities
  • Non clinical bone toxicity
  • Reductions in bone mineral density seen in 3
    animal species
  • Exact mechanism(s) unknown but may be due to
    renal phosphate wasting or decrease in intestinal
    absorption of phosphate

68
Summary of Regulatory IssuesBone Abnormalities
  • Clinical bone toxicity
  • No clinically significant changes in phosphate,
    calcium , PTH or BMD observed over time
  • PTH and BMD only available for a small subset of
    patients
  • Rates of fractures does not increase over 6 month
    intervals
  • Controlled safety data in more patients for
    longer duration needed

69
Summary of Regulatory IssuesBone Abnormalities
  • Please provide your assessment of the nonclinical
    and clinical data with regard to bone effects.
  • Are there additional non clinical or clinical
    studies that the applicant should conduct to
    further evaluate tenofovir associated bone
    abnormalities?

70
Summary of Regulatory IssuesClinical Virology
  • Prospective and Exploratory Analyses
  • Limitations of exploratory analyses include
  • Limited of patients for some primary NRTI and
    multi-drug resistant mutations to determine
    clinical significance
  • Large number of potential comparisons limit
    ability to conduct tests for statistical
    significance

71
Summary of Regulatory IssuesClinical Virology
  • Please provide comments on the clinical
    resistance analyses conducted during the
    development of tenofovir.
  • Please provide recommendations for the types of
    clinical virology analyses that should be
    conducted for future antiretroviral drug
    development and suggestions for type of
    resistance data/analyses warranting display in
    package inserts

72
Summary of Regulatory Issues Accelerated
Approval and Phase 4 Commitments
  • Please provide comments on the proposed second
    study for traditional approval
  • Please provide comments for other study designs
    or patient populations that should be studied as
    phase 4 commitments

73
Tenofovir Review Team
  • Clinical Kimberly Struble, Pharm.D., Jeff
    Murray, M.D., M.P.H., and Bruce Schneider, M.D.
  • Stats Rafia Bhore, Ph.D., and Greg Soon, Ph.D.
  • Micro Nara Battula, Ph.D.
  • Clin Pharm Jooran Kim, Pharm.D., and Kellie
    Reynolds, Pharm.D.
  • Pharm/tox Pete Verma, Ph.D., and Jim Farrelly,
    Ph.D.
  • Chemistry Rao Kambhampati, Ph.D and Steve
    Miller, Ph.D.
  • Project Management Marsha Holloman, BS Pharm,
    J.D.
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