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Norman W' Baylor, Ph'D',

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Harmonizing content and format for regulatory submissions ... International Harmonization ... Opportunity to discuss approaches, obtain information, harmonize ... – PowerPoint PPT presentation

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Title: Norman W' Baylor, Ph'D',


1
2nd NVAC Workshop on Strengthening the Supply of
Vaccines in the U.S. Streamlining the FDA
Regulatory Process
  • Norman W. Baylor, Ph.D.,
  • Office of Vaccines Research and Review
  • Center for Biologics Evaluation and Research
  • U.S. FDA

2
NVAC Recommendations for Streamlining the
Regulatory Process
  • Harmonizing content and format for regulatory
    submissions
  • Review and implementation of cGMP standards
  • Reviewing the regulatory process
  • Conclusions

3
International Harmonization
  • The FDA has made progress in information exchange
    using MOUs, and confidentiality agreements, e.g.,
    Health Canada, Paul Ehrlich Institute, TGA and
    the EMEA
  • CBER/OCBQs deputy director has been assigned to
    a detail to Office of International Programs to
    expand MOUs to other vaccine regulators
  • Notwithstanding, there are still some limitations
    due to different statutes (laws) and regulations

4
International Harmonization
  • In September 2004, FDA announced it will apply to
    the Pharmaceutical Inspection Cooperation Scheme
    (PIC/S)
  • Membership consists of inspectors/investigators
    from countries around the world
  • Opportunity to discuss approaches, obtain
    information, harmonize
  • CBER has been active in this area with respect to
    blood and blood products for many years.
  • Expand to vaccines

5
Partnering With Foreign Regulators the Chiron
Experience
  • Since MHRA license suspension October 5, 2004
  • Meetings with MHRA and Chiron
  • Ability to freely exchange information
  • Regularly scheduled teleconferences between FDA
    and MHRA
  • Observation of counterpart inspections

6
Review of GMP Standards
  • Two-year agency initiative on pharmaceutical GMPs
    for the 21st century concluded September 2004
  • Science and risk-based approach to review and
    regulation
  • Implementation phase now underway with formation
    of council on pharmaceutical quality

7
Review of GMP Standards Relevant Guidance to
Industry
  • Scientific and technical cGMP formal dispute
    resolution August 2003
  • Part 11 Computer system validation August 2003
  • April 2004 federal register notice of intent to
    amend part 11
  • Completion of GMP analysis in June 2004
  • FDA intent to take incremental approach to
    modifications to parts 210/211 announced
    September 2004
  • Quality system approaches to pharmaceutical cGMP
    September 2004
  • Sterile drug products produced by aseptic
    processing September 2004

8
Team Biologics Program
  • Development of systems-based compliance program
    for inspection of biological drug manufacturing
    facilities, including vaccines
  • Implemented December 1, 2004
  • Streamlined approach with levels based on
    compliance history
  • Team biologics quality system
  • CBER and ORA actively involved in establishing
    system of checks and balances (QC/QA)
  • Metrics developed for many processes and in
    implementation phase
  • Additional training for investigators and product
    specialists conducted in October 2004.

9
Reviewing the Regulatory Process
  • Formal Mechanisms
  • Fast Track
  • Priority Review
  • CMA Pilots 1 and 2
  • Accelerated Approval

10
Fast Track
  • Designed to facilitate the development and
    expedite the review of new drugs that are
    intended to treat serious or life-threatening
    conditions and that demonstrate the potential to
    address unmet medical needs.
  • Incorporates an end of Phase I meeting
  • Allows for more frequent communications with the
    FDA
  • May allow for a rolling review of the BLA

11
Priority Review
  • For products that have the potential for
    providing significant preventative, diagnostic,
    or therapeutic advance as compared to existing
    treatments for serious or life-threatening
    conditions
  • Complete action due 6 months after the date of
    submission

12
Accelerated Approval
  • Allows expedited marketing of new drugs or
    biologics intended to treat serious or
    life-threatening illnesses and that appear to
    provide meaningful therapeutic benefits compared
    with existing treatments.
  • Approval based on a determination that the effect
    of a product on a surrogate endpoint is
    reasonably likely to predict its clinical benefit
    (21 CFR 314.510 601.41)
  • Post-licensure confirmatory studies required

13
Continuous Marketing Application
  • FDA is conducting 2 pilots to determine whether
    providing early review and additional feedback
    and advice to sponsors during drug development
    for selected products can further shorten drug
    development and review times
  • Pilot 1 FDA has agreed to provide discipline
    review letters under PDUFA timelines for
    pre-submitted reviewable units of a BLA
  • Applies only to Fast track designated products
  • Pilot 2 frequent scientific feedback and
    interactions during drug development

14
Conclusions
  • Despite ongoing budgetary challenges and
    increasing responsibilities, e.g.,
    counter-terrorism activities, influenza vaccine
    shortages, and other mandates, CBER has made
    significant progress in addressing all of the
    recommendations outlined in the NVAC Report on
    Vaccine Supply

15
Conclusions
  • CBER has met or exceeded all of its PDUFA goals
  • CBER has increased the number of formal as well
    as informal meetings with industry to facilitate
    the development of new vaccines, and continued
    supply of currently licensed vaccines
  • CBER has increased communications with its
    international regulatory counterparts through
    MOUs
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