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Laboratory Developed Tests whats brewing at FDA

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Increase attention to genetic testing -- human genome project. Regulation of Genetic Tests ... Charge broad and aimed at all sectors of the health care system ... – PowerPoint PPT presentation

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Title: Laboratory Developed Tests whats brewing at FDA


1
Laboratory Developed Tests whats brewing at FDA
  • Steven Gutman, M.D.

2
Medical Device Amendments of 1976 General
Controls
  • Registration and listing
  • Good manufacturing practices
  • Post market reporting

3
Premarket Review
  • 510(k)
  • PMA
  • Administrative differences
  • Core science the same

4
Well Defined Interests
  • Analytical performance
  • Clinical performance
  • Labeling adequate instructions for use
  • FDA work processes quite transparent

5
Regulatory Scheme Launched
  • Regulations
  • Classification
  • Procedures for review practice
  • Guidances

6
Applied to Commercial Kits
  • Not directed at laboratory developed devices
    (also known as in house tests, laboratory test
    services, home brew tests)
  • Enforcement discretion

7
Laboratory Developed Tests
  • Historic practice
  • Broad menu

8
Laboratory Developed Tests
  • Subject to CLIA
  • Analytical performance
  • Quality system

9
Laboratory Developed Tests
  • No threshold between research and clinical use
  • No specific premarket review (post hoc sampling)
  • No clinical validation (not prohibited but not
    required by CLIA)
  • No reporting requirements

10
ASR Rule -- 1997
  • Incremental increase regulation
  • Down-classification
  • Deliberate effort to create safe harbor

11
Unique Backdrop
  • Widespread promulgation of RUO/IUO devices for
    clinical use
  • Explosive market in lab developed tests
  • Evolving CLIA program
  • Increase attention to genetic testing -- human
    genome project

12
Regulation of Genetic Tests
  • Hot Button Item
  • IOM -- 1994
  • Task Force on Genetic Testing -- 1997

13
Analyte Specific Reagents
  • Antibodies, specific receptor proteins, nucleic
    acid sequences, and similar biological reagents
    which through chemical binding or reaction with
    substances in specimen are intended for
    identification and quantification of an
    individual chemical substance or ligand in
    biological specimens

14
ASR Impact on Manufacturers
  • Required to register and list
  • Required to meet good manufacturing practices
  • Required to report adverse events
  • Restricted distribution, use, and labeling

15
ASR Impact on Laboratories
  • Restricted to high complexity laboratories
  • CLIA requirements
  • Report disclaimers

16
Labeling of ASRs
  • Mandatory language, restricted labeling
  • Discretionary explanation

17
ASR Exceptions
  • HIV testing
  • TB testing
  • -------------
  • Genetics testing
  • Microarray testing

18
Abuse of ASR Rule
  • Inadvertent or deliberate use of rule to avoid
    premarket review

19
SACGT -- 2000
  • CLIA role expanded
  • CDC post-market data gathering
  • FDA review new tests

20
SACGT
  • Risk based
  • New regulatory models
  • Light touch
  • Emphasis on truth in labeling

21
SACGT
  • Risk based approaches failed
  • Template hit fertile soil
  • Committee dissolved
  • Recommendations on hold

22
Persistent Interest
  • Industry seeking parity IVAT
  • Consumer advocates seeking more comprehensive
    regulatory assurance
  • Congress concerned with issues

23
Congress
  • Smith hearing on DTC sales of nutrigenomic tests
  • Obama bill
  • Kennedy bill

24
SACGHS and the Oversight of Genetic Tests
  • SACAGS charged on March 26 with investigating
    adequacy of oversight
  • Charge broad and aimed at all sectors of the
    health care system
  • Goal is improvement of health quality

25
SACGHS and the Oversight of Genetic Tests
  • Ambitious charge develop a comprehensive map of
    steps needed for evidence development and
    oversight of genetic and genomic tests with
    improvement of health quality as primary goal

26
SACGHS and the Oversight of Genetic Tests
  • Talented task force
  • Andrea Ferreira-Gonzalez, chair
  • 5 members of SACGHS
  • Ad hoc members from laboratories, industry, and
    academia

27
SACGHS and the Oversight of Genetic Tests
  • Sharp timeline
  • First draft of report by July 2007
  • Complete project by end of 2007
  • Submit a report to secretary in early 2008

28
SACGHS and the Oversight of Genetic Tests
  • What do clinical validity and analytical validity
    mean and what separates the two?
  • What should be minimum requirements for clinical
    and analytical validity?
  • What stage of test development should these be
    required? What about utility?

29
SACGHS and the Oversight of Genetic Tests
  • What resources are available for proficiency
    tests? What is the burden on labs to perform PT?
    How much PT is being done?
  • What, if any additional oversight by CLIA would
    be beneficial? If needed what would it involve

30
SACGHS and the Oversight of Genetic Tests
  • What map describes the intersecting
    regulation/oversight bodies surrounding genetic
    tests?

31
FDA Activities
  • Two guidances
  • FAQs on ASRs
  • In Vitro Diagnostic Multivariate Index Assays
    (IVDMIAs)

32
FAQs on ASRs
  • Based on a guidance submitted by AdvaMed
  • Not intended to introduce new regulatory concepts
  • Intended to clarify the ASR

33
Q and As on ASRs
  • Spirit of the rule allows for two choices
  • Tests developed, optimized, and validated by
    companies for use in labs
  • Tests developed, optimized and validated by labs
    as laboratory developed tests

34
Q and As on ASRs
  • Spirit of the rule implied very different
    responsible bodies
  • Commercial tests company under quality control
    of FDA
  • Laboratory Developed tests laboratory under
    quality control of CLIA or CLIA

35
Q and As on ASRs
  • Core principle behind guidance is to ensure that
    companies sell labs building blocks and not
    pseudo kits for use in laboratory developed
    assays
  • Complex and nuanced document

36
IVDMIAs
  • Signals identification of a new class of
    laboratory developed tests that FDA believes may
    not be a good fit for enforcement discretion and
    regulation under CLIA
  • First test identified in 2004 FDA intention was
    quite narrow

37
IVDMIAs
  • Software derived (and often driven) assays which
    combine multiple signals into an index or score
  • Index or score cannot be interpreted or clearly
    understood without information provided by the
    sponsor
  • Represents a locked cabinet, needs a combination
    or key

38
Guidances
  • Subject of considerable interest
  • FDA responses included extension of comment
    period for both documents and public meeting to
    obtain input on IVDMIAs

39
Guidances
  • Request was for concrete input and concrete
    suggestions
  • Lots of comments for both documents
  • En Media Res
  • Timeline for further decision making uncertain

40
Good News Bad News
  • FDA is considering options in an area of complex
    discussion and deliberation
  • FDA welcomes input

41
Good News Bad News
  • FDA resources are limited
  • FDA review tools are sharper then ever
  • FDA understands opportunity cost of delay

42
Good News Bad News
  • FDA not only player
  • What companies like better then an FDA letter!
  • Good science is good science

43
Good Science
  • Lot at stake
  • Personalized medicine
  • Impacts diagnostics
  • Impacts therapeutics

44
Good Science
  • Right focus
  • Questions wont go away
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