The FDA - PowerPoint PPT Presentation

1 / 30
About This Presentation
Title:

The FDA

Description:

... (domestic and foreign) Follow-up ... The Headquarter/Field Adverse Event Team The headquarters scientists use adverse event reports to evaluate the safety of ... – PowerPoint PPT presentation

Number of Views:100
Avg rating:3.0/5.0
Slides: 31
Provided by: CDE138
Category:
Tags: fda | domestic | safety

less

Transcript and Presenter's Notes

Title: The FDA


1
The FDAs Postmarketing Adverse Drug Experience
Inspectional Program
  • Surveillance Programs Team
  • Office of Compliance
  • Center for Drug Evaluation and Research
  • U.S. Food and Drug Administration

1
2
AGENDA
  • Postmarketing adverse drug experience reporting
    regulations
  • Role of headquarters and field
  • Inspectional strategies

2
3
Purpose of ADE Regulations
  • To obtain additional information on adverse
    events that may not have been detected prior to
    marketing
  • To improve the labeling of drug products

3
4
Brief Overview of Reporting Regulations
  • 21 CFR Sections
  • 310.305 - RX drugs not subject to approved
    applications
  • 314.80 - RX drugs subject to NDAs/ANDAs and OTCs
    associated with approved applications
  • 314.98- RX drugs subject to AADAs

4
5
What is an Adverse Drug Experience?
  • Any adverse event associated with the use of drug
    in humans whether or not it is considered drug
    related.

5
6
Serious Adverse Drug Experience
  • Death
  • Life threatening (per initial reporter)
  • Permanently or significantly disabling
  • Hospitalization
  • Congenital anomaly/birth defect
  • Important medical events

6
7
Unexpected Adverse Drug Experience
  • Not listed in current labeling
  • Listed in labeling but greater specificity or
    severity
  • e.g. renal impairment listed, patient experiences
    renal failure

7
8
Reporting Requirements
  • Within 15 calendar days if Serious and Unexpected
    (domestic and foreign)
  • Follow-up information
  • Non-applicant notifies applicant within five
    calendar days

8
9
Periodic Report
  • Quarterly and Annual Reports
  • Serious Expected ADEs
  • All Non-serious

9
10
When does the Regulatory Clock Start?
  • First day a firm or any affiliate receives event
    data containing all four elements
  • An identifiable patient
  • An identifiable reporter
  • A suspect drug
  • An adverse event or fatal outcome

10
11
Forms
  • 3500A (Medwatch Form)
  • Council for International Organization of Medical
    Science (CIOMS I Foreign) or other form if
    approved in advance

11
12
The Headquarter/Field Adverse Event Team
  • The headquarters scientists use adverse event
    reports to evaluate the safety of marketed drugs
  • OC/ADE Team coordinates between regulatory and
    scientific staff.
  • The field investigators assure industry
    compliance with reporting regulations

12
13
Role of the Field Investigator
  • To verify through on-site visits that firms are
    submitting all required reports of adverse events
    to FDA and the reports are complete, accurate and
    timely.

13
14
Role of the Field Investigator
  • When reports of adverse events are not
  • submitted, or are incomplete, inaccurate
  • or late, then document to support
  • appropriate regulatory action.

14
15
Role of the Field Investigator
  • Look for adverse events not cited on the product
    labeling.
  • Do not make medical evaluation of adverse
    events.
  • Do not evaluate labeling or make labeling change
    recommendations

15
16
Selection of the Firms Risk Management Approach
  • Firms with ADE reporting problems
  • Firms with prior violative history
  • Recalls
  • AIP list
  • NDA field alerts
  • High-risk drugs

16
17
References Used Prior, During and After
Inspection
  • CP 7353.001, Enforcement of the Postmarketing
    Adverse Drug Experience Reporting Regulations.
  • Regulations
  • Guidance documents
  • Inspectional package

17
18
SOPs
  • Procedure to specify the minimum qualifications
    of persons involved in investigating and
    evaluating ADEs
  • Make sure that current reporting requirements are
    cited in SOPs
  • SOPs should specify control activities to ensure
    that ADEs are investigated, followed-up,
    evaluated and sent to FDA.

18
19
Source Documents
  • Complaint logs - numerical for completeness
  • Medical Department Logs
  • Distribution records
  • Annual product reviews

19
20
We are looking for...
  • Outcomes to identify problem areas for
    inspectional coverage.
  • What system failure(s) caused the firm not to
    comply with the regulations.

20
21
Look for Discrepancies such as...
  • Omissions
  • Minimizing results
  • Lack of follow-up
  • Inadequate follow-up

21
22
Significance of Deviations
  • Most serious - not submitting 15-day reports
  • Serious - report accuracy
  • Moderately serious - timeliness

22
23
If reports are found that have not been filed...
  • Determine the nature of the event and the cause
    for failure to report.
  • Determine what changes have been made to prevent
    reoccurrence.

23
24
When Discrepancies are Found
  • Review raw data
  • Ask questions and understand how the event and
    investigation was handled
  • Look for patterns or trends
  • Document

24
25
Type of Violations Uncovered
  • Serious and unlabeled events not submitted in a
    timely manner (range 30 days up to ten years
  • Lack of assurance that all ADEs were submitted
  • Foreign serious and unlabeled events not
    submitted from foreign affiliates

25
26
Cont. Violations Uncovered
  • Failure to conduct prompt and adequate follow-up
    investigations of ADEs
  • Serious and unlabeled events not assessed
    properly
  • No periodic reports submitted

26
27
Cont. Violations Uncovered
  • Computer system used to process and generate ADR
    reports is not validated
  • Coding errors in Medwatch forms
  • No approved SOPs

27
28
Remember
  • Scientific evaluation of adverse events depends
    upon the field investigator assuring that
    industry submits reports that are complete,
    accurate, and timely.

28
29
For Additional Information...Contact the
Surveillance Program Team
  • Jay Schmid 301-827-8929
  • Schmid_at_cder.fda.gov
  • Carol Krueger 301-827-8989
  • Kruegerc_at_cder.fda.gov
  • Juliaette Johnson 301-827-8928
  • Johnsonju_at_cder.fda.gov
  • Denis Mackey 301-827-8926
  • Mackey_at_cder.fda.gov

29
30
Internet Sites for ADR Information
  • http//www.fda.gov/cder/aers/index.htm
  • http//www.fda.gov/cder/regguide.htm
  • http//www.fda.gov/medwatch

30
Write a Comment
User Comments (0)
About PowerShow.com