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Science Board Update on FDA Cross-Cutting Initiatives

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Science Board Update on FDA Cross-Cutting Initiatives Dr. Janet Woodcock November 4, 2005 Overview Critical Path Initiative See the Critical Path Web page at http ... – PowerPoint PPT presentation

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Title: Science Board Update on FDA Cross-Cutting Initiatives


1
Science BoardUpdate on FDA Cross-Cutting
Initiatives
  • Dr. Janet Woodcock
  • November 4, 2005

2
Overview
  • Critical Path Initiative
  • See the Critical Path Web page at
    http//www.fda.gov/oc/initiatives/criticalpath
  • Pharmacogenomics Efforts
  • CGMPs for the 21st Century

3
Critical Path Initiative Making Progress
  • First Critical Path Report, March 2004
  • Comments to the Docket until July 30, 2005
  • Extensive outreach activities with industry,
    academia, agency scientists, other parties to
    identify specific opportunities (e.g., Imaging
    meeting, May 2005 http//www.fda.gov/cder/regulat
    ory/medImaging/default.htm ECG warehouse
    workshop, October 2005)
  • Second report (list of 70 specific
    opportunities) in final clearance, will be out
    soon
  • Third report under development projects FDA is
    taking on

4
Examples of Current FDA CP Activities
  • Interagency Oncology Task Force (with NCI)
  • Joint fellowship program
  • IT support for clinical trial automation
  • Joint research projects
  • NCI/CMS biomarker qualification projects for
    specific cancers
  • Freestanding/academic (e.g. C-Path Institute)
  • Academic/industry (e.g., UCSF, Duke University)
  • FDA-partner CRADAs

5
Examples of Current FDA CP Activities (cont.)
  • Guidance development
  • Pharmacogenomic Data Submissions guidance (final
    issued March 2005)
  • Exploratory IND Studies (draft issued April 14)
  • Guidance clarifying CGMPs for phase 1 studies
    (draft expected soon)
  • Planning workshop on rapid microbial testing
  • Drug and pharmacogenomic test co-development
    draft guidance being prepared

6
Examples of Ongoing FDA CP Activities (cont.)
  • Bioinformatics (also supports e-health)
  • SPL/DailyMed (October 30, 2005)
  • Case report forms, voluntary standardization
  • ECG digital warehouse
  • Standards development (e.g., HL7, CDISC)
  • Standards to support clinical trials
  • Pharmacogenomics initiative
  • BiMo Initiative

7
Critical Path Next Steps
  • Publish Critical Path Opportunities List
  • Publish report on projects FDA is engaged in
  • Further develop consortia
  • Some as umbrella organization
  • Others around specific projects
  • Continue with CP plan try to gather a few more
    resources to accomplish work

8
Pharmacogenomics (PG) Initiative
  • Final guidance issued March 2005
  • Agency-wide PG review group is up and running
  • First voluntary submission received in March
    2004, almost 20 since then
  • Positive feedback from sponsors
  • Sponsors appreciate opportunity for open,
    informal data exchange and discussion, in formal
    feedback, rank VGDS meetings a 4 out of 5, with
    regulatory aspect being viewed more
    important/helpful than scientific impact
  • See the PG Web page at http//www.fda.gov/cder/gen
    omics/IPRG.htm

9
Pharmacogenomics (PG) at FDA
  • Framework provided by Guidance for Industry
    Pharmacogenomic Data Submissions clarifies
    what type of genomic data needs to be submitted
    to FDA and when
  • Guidance introduces two novel tools
  • VGDS Voluntary Genomic Data Submissions
  • Submission of exploratory genomic data, usually
    not required to be submitted to IND
  • Not used for regulatory decision making
  • IPRG Interdisciplinary Pharmacogenomics Review
    Group
  • First FDA-wide review group representatives
    from all Centers
  • Responsible for review of VGDS
  • New policy and guidance development related to PG
  • New genomics portal www.fda.gov/cder/genomics

10
PG at FDA VGDS Milestones
  • March 04 First VGDS
  • May 04 Genomics Group started operation in OCPB
  • July 04 First IPRG Sponsor meeting
  • March 05 Final PG Guidance released
  • March 05 Genomics website goes live
  • May 05 First joint VGDS meeting with EMEA
  • October 05 Genomic Biomarker workshop
  • October 05 First large-scale toxicogenomics
    VGDS
  • November 05 PG to be discussed at ICH
  • December 05 20 voluntary submissions received

11
PG at FDA Impact of VGDS
  • Exposure to cutting-edge genomic data, otherwise
    not accessible to review at FDA
  • Provides opportunity for scientific exchange of
    information without immediate regulatory impact,
    i.e.
  • Strategies for biomarker qualification
  • Biological interpretation of data
  • Clinical trial designs incorporating PG data
  • Data evaluation and interpretation tools,
    strategies
  • Drug-test co-development
  • Facilitates new policy and guidance development
  • Redacted data sets used for reviewer training
  • Very positive feedback from sponsors several
    have submitted more than 1 VGDS already,
    follow-on submissions to be received

12
PG Initiative Some Lessons Learned
  • Early communication with sponsors is crucial
  • Standards are needed (e.g. HL7, CDISC, others)
  • Education is ongoing
  • Creation of FDA/CDER course on pharmacogenomics
  • Rotations in Genomics Group to expose reviewers
    to genomic data sets
  • ICH conference next week in Chicago FDA
    presentation on key points from pharmacogenomic
    data submissions

13
PG at FDA Future
  • VGDS goes global
  • First joint meeting with EMEA held, two more
    scheduled
  • MOU with EMEA created
  • ICH meeting next week in Chicago, IL
  • VGDS ? VXDS expansion into other eXploratory
    -omics fields (i.e. proteomics, metabolomics)
  • VGDS ? RGDS VGDS program helped us to become
    well prepared to review complex Required PG data
    sets
  • VGDS program continues to be used as a platform
    for information exchange for research conducted
    via different mechanisms, i.e. CRADAs, consortia,
    PPP,

14
FDA Approval of PG Tests
  • Roche Molecular Systems AmpliChip CYP450
    (CYP2C19) (1/05)
  • Roche Molecular Systems AmpliChip CYP450 (CYP2D6)
    (12/04)
  • Invader UGT1A1 Molecular Assay
    (UDP-glucuronoslytransferase) use with
    irinotecan dosing (8/05)

15
Pharmacogenomics at FDAs National Center for
Toxicologic Research
  • Publication of multiple scientific papers on
    toxicogenomics
  • Papers on bioinformatics approaches to analysis
    of microarray data
  • Creation of Array Track Software and Database to
    assist FDA analysis of submitted pharmacogenomic
    data excellent tool for this project

16
ArrayTrack
  • An integrated solution for microarray data
    management, analysis and interpretation
  • Review tool for FDA pharmacogenomics data
    submission
  • Training course is provided to the FDA reviewers
    every two months
  • At present, 60 reviewers has been trained
  • Freely available to public (http//edkb.fda.gov/we
    bstart/arraytrack)
  • Users at big Pharma, academic and government
    institutions U.S., Europe Asia

17
The MAQC Project Establishing QC Metrics and
Thresholds for Microarray Quality Control
http//edkb.fda.gov/MAQC/
18
The MAQC Project
  • The U.S. FDA is promoting the use of omics
    technologies (e.g., microarrays) in medical
    product development and personalized medicine.
  • Cross-lab/platform comparability is achievable
    and a prerequisite to move microarrays from a
    research tool to clinical practices.
  • Quality control of bench experiments and guidance
    for data analysis are two fundamental challenges.
  • Overall quality of microarray data are of concern
    for regulatory review of PG/TG data submissions.

19
The MAQC Project
  • Microarray manufacturers should develop SOPs for
    controling the quality of individual steps and
    ensure the robustness of the technology.
  • The merits of various data analysis methods
    should be critically evaluated.
  • Biological interpretation of microarray results
    should be based on reliable data and appropriate
    analysis procedures.
  • The U.S. FDA is working closely with the
    microarray community under the MAQC project to
    develop appropriate QC metrics and thresholds for
    assessing the overall performance of the
    microarray technology by establishing reference
    RNA samples and reference datasets.

20
Two ChallengesFacing the Microarray Community
  • To ensure experimental proficiency of individual
    laboratories
  • To objectively assess the merits of various data
    analysis methods

21
Because there is a lack of
  • Calibrated RNA samples
  • Reliable benchmark datasets
  • Metrics/Thresholds for assessing
    the performance achievable on microarray
    platforms
  • Thorough and independent validation
  • Guidelines for microarray QC and data analysis

22
Pharmaceutical CGMPs for the 21st CenturyA Risk
Based Approach
  • Large effort begun in 2002 to modernize FDAs
    regulation of pharmaceutical quality for human
    and animal drugs and select biological products
    (e.g., vaccines)
  • Effort prompted many projects see report on the
    effort at http//www.fda.gov/cder/gmp/gmp2004/GMP
    _finalreport2004.htm
  • Released 7 guidances on a variety of topics
    related to risk-based approaches to the
    regulation of pharmaceutical manufacturing. Goal
    was to enhance consistency and coordination of
    FDAs drug quality regulatory programs
  • Established and chartered a Council on
    Pharmaceutical Quality, a subcommittee to the FDA
    Management Council

23
CGMPs (cont.)
  • Introduced process analytical technologies (PAT)
    via guidance
  • (With ASTM International) established a Technical
    Committee E55 on Pharmaceutical Application of
    Process Analytical Technology to focus on process
    monitoring and control rather than testing
  • Issued Aseptic Processing Guidance, which ensures
    operational and raw material inputs are
    predictable based on adequate controls.

24
CGMP (cont.)
  • Issued guidance on Quality Systems Approach to
    Pharmaceutical Current Good Manufacturing
    Practice a comprehensive quality systems model
    manufacturers can use
  • Issued draft guidance on Comparability Protocols
    explains how changes can be made in
    manufacturing without prior approval from the
    Agency

25
CGMP (cont.)
  • Issued Part 11 guidance, which removed many
    barriers to scientific and technological advances
    and encourages use of risk-based approaches to
    managing computer systems
  • Introduced risk-based approach for FDA (domestic)
    manufacturing site inspections goal is to
    achieve greatest public health impact
  • Industry estimates that this guidance could
    save hundreds of millions of dollars that would
    have been wasted on unneeded changes to IT
    systems.

26
CGMP State-of-the-Art Regulation
  • CDER is shifting its CMC review system to a new
    risk-based pharmaceutical quality assessment
    system.
  • Office of Generic Drugs is implementing a
    question-based review system.
  • These systems should reduce the need to submit
    manufacturing supplements and increase
    first-cycle approval of new drug applications,
    making drug products available to patients in a
    more timely manner.

27
CGMP Agency Consistency and Coordination
  • Increasing collaboration with international
    health and regulatory partners
  • Adopted a Quality Systems Model for Agency
    Operations defines the essential quality
    elements to consider
  • Implemented a process for resolving scientific
    and technical disputes arising from CGMP
    inspections, which has been highly praised by
    industry
  • Established a Pharmaceutical Inspectorate a
    staff of highly trained individuals within ORA
    who devote most of their time to conducting
    complex and high-risk inspections that are most
    dependent on the enhanced technical expertise
    that they have acquired 70 investigators have
    been trained so far.
  • Revised regulatory procedures for determining
    when to issue warning letters in response to
    noncompliance with CGMP requirements

28
CGMPRecent Accomplishments/Future Plans
  • Submitted PIC/S (Pharmaceutical Inspection
    Cooperation Scheme) Application (September 16,
    2005)
  • Participated in several ICH quality topics Q8
    (Quality by Design), Q9 (Risk Management), Q10
    (Quality Systems)
  • Reconfiguring working groups to align with the
    next steps of the initiative
  • Continuing ongoing efforts to evaluate, revise,
    and refine the risk-based inspection model
  • Plan to implement Quality by Design
    (pharmaceutical development) may ultimately
    reduce the regulatory burden

29
CGMP Future Plans (cont.)
  • Re-evaluating current regulations for consistency
    with CGMP effort
  • Establishing a Pharmaceutical Quality Standards
    working group to determine how to improve
    collaboration with standards organizations
  • Certifying additional staff for the
    Pharmaceutical Inspectorate
  • Enhancing interactions between the field and
    Center compliance and review staff
  • Implementing new application and review standards
    and practices
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