Brown Bag Series on Research Faculty FDA Approvals, IND, IDE and Clinical Trials March 16, 2011...
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Transcript of Brown Bag Series on Research Faculty FDA Approvals, IND, IDE and Clinical Trials March 16, 2011...
Brown Bag Series on ResearchFaculty
FDA Approvals, IND, IDE and Clinical Trials
March 16, 2011Gerberding Hall 142, University of Washington
Brown Bag Series on ResearchFaculty
Speakers
Lynn Rose, Research Associate Professor, Pediatrics; Director, Regulatory and Clinical Affairs, Seattle Children’s Research Institute
Ann Melvin MD, MPH, Associate Professor Pediatrics – Infectious Diseases
Seattle Children’s HospitalCo-director Regulatory Support and Bioethics
Core - ITHS
Brown Bag Series on ResearchFacultyConfidential
Learning Goals of Presentation
1. Brief history behind FDA regulations and processes2. Review IND and IDE Exemptions3. Practical Considerations for Writing for INDs and
IDEs4. Review Investigator Commitments and Common
Deficiencies 5. Overview of resources available through ITHS
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Safety is the Key to Initiating Clinical Trials
• Long, sad history of both abuses and ignorance leading to clinical disasters: – From past disasters come current laws– As the years have passed, more and more regulations (i.e.
disasters) have been passed– People more risk averse
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Brown Bag Series on ResearchFacultyConfidential
1937: Sulfanilamide Elixir
• S.E. Massengill developed Sulfanilamide Elixir for pediatric indications– Sulfa drug dissolved in diethylene glycol
• First death reported in October 1937– Eventually 107 people died, mostly children– 108th death was the chemist who invented it (suicide)– Dr. Geiling at the U. Chicago showed the solvent was
toxic
• FDA seizures and prosecution– “Misbranded” – “elixir” implied it contained alcohol,
which it didn’t– Massengill Co. paid a fine of $26,100
Brown Bag Series on ResearchFacultyConfidential
Federal Food, Drug, and Cosmetic Act of 1938
• Increased emphasis on safety:– Manufacturer had to test any new drug for safety and
report results to the FDA• No standards for safety testing were established • No requirements for efficacy
– Authorized FDA to conduct factory inspections• No manufacturing standards were set
– Labeling had to include• All ingredients and quantity of each• Directions for use, Warnings about dangers
– Product was considered misbranded if it was dangerous to health when used in the dosage recommended in the label.
• No oversight of clinical trials was mandated
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Thalidomide• “Wonder drug” for insomnia,
coughs, colds, and headaches. Also an effective antiemetic for morning sickness.
• Thalidomide distributed to >1000 U.S. doctors on an “investigational” basis– > 20,000 patients received the
drug; 624 were pregnant – Doctors were “invited” to report
on their results, but were under no obligation to do so
• NDA for thalidomide was assigned to a new FDA examiner, Dr. Frances Kelsey, who had studied in the lab of Dr. Geiling as a graduate student
Brown Bag Series on ResearchFacultyConfidential
Thalidomide Aftermath• Dr. Kelsey won the
President’s Medal for Distinguished Federal Civilian Service from President John F. Kennedy (highest recognition possible for civil service)
• Drug reform proposals that had been languishing were resurrected and enacted without a single dissenting vote in either the House or Senate
Brown Bag Series on ResearchFacultyConfidential
Kefauver-Harris Amendments of 1962
• FDA gained jurisdiction over testing of drugs before they would be approved for marketing– Drug firms (“sponsors”) had to apply to the FDA to perform human
trials of a new drug: Investigational New Drug application, or IND– Sponsors had to inform FDA of what happened during clinical testing
• Patients in trials had to give informed consent (WWII aftermath)
• Animal testing had to be conducted prior to human testing• Experiments had to be properly planned, and include controls• Investigators conducting trials had to be qualified
– Sponsors had to describe the scientific training and experience necessary to test the safety of the drug
• Drug had to show efficacy before it could be marketed• Established Good Manufacturing Practices
Brown Bag Series on ResearchFacultyConfidential
Medical Device Amendments of 1976• Law passed to ensure safety and effectiveness of medical devices, including
diagnostics
• Required manufacturers to register with FDA and follow standard quality control procedures
• Identified 3 classes of medical devices, each with unique requirements for marketing authorization
– Class I – lowest risk devices and lowest set of requirements• Clinical testing not required for marketing approval• No regulatory application (i.e. 510 (k) or PMA required for marketing authorization)
– Class II –medium risk devices, higher performance standards required• Marketing authorization requires 510 (k) application• Clinical testing may be required if product has no “predicate” as comparator
– Class III – highest risk devices, highest level of performance standards• Investigational Device Exemption (IDE)• Premarket Authorization (PMA) for Marketing Approval
Following the Dalkon Shield Deaths:
Brown Bag Series on ResearchFaculty
Examples of Medical Device Classifications
Medical Device Classes:
Class I General ControlsMost exempt from premarket submission
Class II Special ControlsPremarket Notification[510(k)]
Class IIIPremarket Approval
Require Premarket Application [PMA]
Additional Classification:
“De Novo” Device "types" that have never been marketed in the U.S., but whose safety profile and technology are now reasonably well understood
Humanitarian Device Exemption (HDE)Devices for orphan diseasesIntended to benefit patients in diagnosis and/or treatment of disease or condition affecting or manifested in fewer than 4,000 patients per year in the United States
Brown Bag Series on ResearchFacultyConfidential
Since 1976… The regulations embodied in the Food and Drug Administration
Modernization Act (1997) have continued to evolve as new problems emerge
Requirements for post-market surveillance protocols
Safety data continues to be prioritized by FDA (over efficacy) when reviewing IND applications because history shows that safety risks lurk in unusual places Cell lines (e.g., viral, mycoplasm contamination) Expression Systems (e.g. antibiotic selection) Formulation (e.g., sulfanilamide) Contaminants from manufacturing
Guidance Documents have proliferated to aid investigators in understanding the requirements for INDs and IDEs Product and Indication Specific
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Understanding the Regulations for INDs and IDEs
• Review 21 CFR Part 312- Investigational New Drug Application• Review 21 CFR Part 812 – Investigational Device Exemptions
– Table of Contents Clearly Delineated
• Review FDA Guidance Documents related to product type, disease, animal models, etc.
• Consider a Pre-IND/IDE meeting:• Before you embark on animal safety studies• Once preclinical data is sufficient to have a meaningful discussion.• To clarify the product classification and FDA review division• To determine if study is eligible for IND or IDE waiver
Brown Bag Series on ResearchFacultyConfidential
Investigational New Drug (IND) Applications
• IND applications are required for clinical studies of investigational drugs that are not “exempt” from the IND regulations
• Investigational drugs means a “new” drug or biological drug that is used in a clinical investigation.
• The term “new” encompasses both unapproved drugs and approved drugs that are used in new ways (i.e., new indications)
Brown Bag Series on ResearchFacultyConfidential
Conditions for IND Exemption
• Conditions for IND Waivers are provided in 21 CFR Part 312.2– Study results will not be reported to FDA for the purpose of
changing the label or adding a new indication (Industry Sponsor)
– Study results will not be used to change the advertising of the drug (Industry Sponsor)
– The investigation does not involve a route of administration or dosage level or use in a patient population or other factor that significantly increases the risks (or decreases the acceptability of risks) associated with use of the drug product (Industry and Academic Sponsors)
– The investigation is conducted in compliance with requirements for institutional review
– The study will not be used for off-label promotion of the drug (Industry Sponsor)
Brown Bag Series on ResearchFacultyConfidential
Practical Considerations for IND Waivers
― Would a change in the route of administration alter the safety profile? Target Organ may change (i.e. inhaled vs parenteral) Pharmacokinetics may be altered (i.e. increased renal exposure)
― Are the approved doses appropriate for the new indication? Do animal model data suggest that higher doses should be tested?
― Is the intended patient population is within the same age range studied in approved indication
• Safety risks in young or older populations may be unknown
― Does the intended patient population have a disease condition that would put it at different (i.e., unknown) and/or greater risk than the population studied for the approval (i.e., pediatric versus adult, healthy versus sick)
• What were the safety findings for the original indication?• Are those findings relevant for the condition under study?
― Don’t short-change the study to avoid an IND― Read the label!
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Investigational Device Exemption(IDE) Waivers
• Requirement for IDE based primarily on Device Class (i.e. I, II, or III)– Class III highest risk category
– Existence of a “predicate” device
• IDE Waivers Based on Risk of Device and Experience with Device Type
– Significant Risk (Requires an IDE to initiate a study)
– Nonsignificant Risk (May require an IDE)
– Exempt (Does not require an IDE)
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IDE Exempt Studies
• 510(k)-cleared and HDE- or PMA-approved devices, if used in accordance with approved label;
• Consumer preference testing of marketed device;
• Combinations of legally marketed devices;
• Custom devices (NARROWLY defined);
• Foreign Studies; Declaration of Helsinki
• Studies of diagnostic devices (with some caveats)
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Significant Risk Device• Is intended as an implant and presents a
potential for serious risk to the health, safety, or welfare of a subject;
• Is purported or represented to be for use supporting or sustaining human life and presents a potential for ….;
• If for use of substantial importance in diagnosing, curing, mitigating, or treating disease, or otherwise preventing impairment of human health and presents a ….;
• Otherwise presents a potential for …..
• Is typically designated as a Class III device
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Nonsignificant Risk Devices
• An NSR Device is one that does not meet the definition of a Serious Risk Device
• Are typically Class I or Class II devices
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Who decides whether a device study is SR or NSR?
• Study Sponsors make initial determination and present case to IRB
• Unless FDA has already determined risk level, it is the responsibility of the IRB to make the determination
• FDA is available to consult with sponsor or IRB
• In cases of disagreement, FDA trumps IRB
Brown Bag Series on ResearchFacultyConfidential
Some Practical Considerations Plan ahead, evaluate the IND or IDE requirements well before you
want to write one Don’t avoid the FDA – you can save so much time if you ask the
questions you need to ask Read the drug labels, they guide you in determining the information
you need to obtain about your own compound Be thorough in your literature search, the FDA certainly will be Plan sufficient time to complete the IND or IDE – it can take months to
assemble and review all of the data, not days! Understand import restrictions on clinical supplies and foreign devices Proofread, proofread, proofread
Poor grammar, sloppy formatting, lack of consistency can impact your working relationship with the FDA
Ask for help – no sense wasting time on rework
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Common IND Misconceptions The mechanism of action must be well understood prior to
submitting an IND for a new drug or biologic drug Important, but don’t shortchange safety Use animal models to collect safety information
No safety findings is Good! Yes, BUT you need to understand the margin of safety between the proposed
human dose and the toxic dose FDA will ask you to find the toxic dose
Regulatory requirements are not relevant to academic research Early choices can make or break successful translation to industry
Cell line lineage, passage number, viral testing procedures Antibiotic selection techniques – use of ampicillin not acceptable Assay reproducibility and accuracy
Regulatory science is not “research” FDA requirements are science-based
Your grant application is a clinical protocol
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Brown Bag Series on ResearchFacultyConfidential
IND/IDE Applications are not Forms
• They represent a major scientific effort
• Require commitment of time and effort!
• They carry a commitment to follow the regulations
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FDA Form 1572 or Investigator Agreement*
Legal Contract between Investigator and Sponsor and FDA Provides the sponsor with information about the
investigator’s qualifications and others at the clinical site Informs the investigator of his/her obligations and provides
the investigator’s written commitment to follow pertinent FDA regulations.
Making a willfully false statement is a criminal offense under 18 U.S.C. 1001.
Submission of a deliberately false statement to the sponsor or to the agency can be taken into consideration in a disqualification proceeding.
*for devices
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Statement of Investigator (paraphrased) Agrees to follow the investigational plan (i.e., the protocol) Agrees to personally conduct or supervise the conduct of the
investigational study and to ensure that all associates, colleagues, understand their obligations to the study
Agrees to inform any study subjects that the drugs /devices are being used for investigational purposes and obtain their consent for participation in the study
Agrees to report adverse experiences that occur in the course of the investigation
Agrees to maintain adequate and accurate records and to make those records available for inspection
Agree to obtain and document IRB approval for the study Adequately monitor supplies of investigational products used in the
study
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Brown Bag Series on ResearchFacultyConfidential
Clinical Investigator Inspections
You can expect to be inspected by the FDA if: You are participating in a Phase 3 industry-
sponsored study that will support registration (i.e., approval) of a new drug or biological drug
You are participating in an industry study that will support registration of a new medical device or diagnostic
You are conducting a study funded by the FDA You are conducting high risk research A complaint has been lodged against you You have never been inspected before
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Clinical Investigator Inspection SearchName Location Type Classification Deficiency Codes
Aboulafia, David M MD
Virginia Mason Med Ctr
DA VAI 05
Ahmad, Suhail MD Scribner Kidney Ctr/Univ Washington
DA VAI 03,06
Altman, Leonard C MD
NW Asthma & Allergy Ctr
DA VAI2 01
Bensinger, William I MD
Fred Hutchinson Ca Res Ctr
FC VAI 05,18
Bierman, Charles W MD
a.s.t.h.m.a. inc DA VAI2 03,04,05,06,07
Blackmon, John R MD
Univ Washington Hosp
DA VAI2 03,04,05,06
Bockow, Barry I MD Arthritis NW DA VAI 05,18
Bowden, Raleigh A MD
Fred Hutchinson Ca Res Ctr
DA VAI 03,04,05
Caplan, Robert A MD Virginia Mason Med Ctr
DA NAI 00
http://www.accessdata.fda.gov/scripts/cder/CLIIL/index.cfm?fuseaction=Search.Search
FC = for cause; DA = data audit
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FDA Inspection Codes
Classification Codes
• NAI – No Action Indicated• VAI – Voluntary Action
Indicated• OAI – Official Action
Indicated• CANC – Cancelled• WASH – Washout
Frequency of Classification in Washington State
Inspections• NAI – 27% • VAI – 69.5%• OAI – 1%• CANC – 1.5%• WASH – 0.5%
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Errors Frequently Committed by Clinical Investigators in Washington State
Deficiency Code (%) Deficiency Code (%)
00 - No deficiencies noted 6.3 10 – Inappropriate delegation of authority
0.9
01 – Records availability 2.6 11 – Inappropriate use of IND 0.6
02 – Failure to obtain/document informed consent
1.4 12 – Failure to list additional investigators 2.0
03 – Inadequate informed consent form 21 13 – Subjects receiving simultaneous investigational products
0.6
04 – Inadequate drug accountability 10 14 – Failure to obtain/document IRB approval
0.9
05 – Failure to follow investigational plan 21 15 – Failure to notify IRB of changes 4.0
06 – Inadequate and inaccurate records 19 16 – Failure to report adverse drug reaction
5.4
07 – Unapproved concomitant therapy 1.4 17 – Submission of false information 0
08 – Inappropriate payment to subjects 0.6 18 - Other 2.6
09 – Unapproved use of drug (no IND) 0 * Compiled from CDER Clinical Investigator Inspection Database n=197 Inspections (1989-2009)
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ITHS Preclinical Research and Development Core
Consulting on IND/IDE Content Preparation of IND/IDE Review Development Programs Assist in identification of industry and academic
partners Funding Program for Translational Research
(Ignition Awards for Nonhuman Primate studies, Pharmaceutics, and Manufacturing)
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Thank you
For additional information contact:
Lynn Rose206-884-7540
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CLINICAL TRIALS: HOW DO I GET STARTED?
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Objectives
• Provide an overview of:– How to assess study feasibility– Clinical research approval process- UW– Where you can go for help
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Study feasibility
• Population• Procedures• Collaborations• Staff• Budget• Space• etc.
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Population• Do you have access to the right patient
population?• Are the enrollment goals realistic?• Will you need to recruit outside of your
system?• Will enrollment compete with other studies?• Are there special consent issues?• Have you reviewed the inclusion/exclusion
criteria and are they too restrictive?37
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Procedures
• Are procedures approvable?• Are procedures
frequent/painful/inconvenient?• Do procedures require special
equipment/expertise?
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Collaborations
• Do you need additional specialists?• Do you need access to outside
clinics/schools/etc?
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Personnel
• Do you have qualified staff? • Any special training required?• Do you need an RN?• Do you have time to devote to the protocol?• Does your staff have time to devote to the
protocol?
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Budget Considerations• Your time• Staff time• Sub-investigator time• Consultant time• Cost of procedures• Cost of labs• Cost of space (CRC)• Cost of shipping• Records Storage
• Cost of storing specimens
• Pharmacy costs• Cost of data collection
system• Cost of monitoring
(study and site)• Cost of statistician• Manuscript preparation
and presentation
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Budgets
• If budget is determined by sponsor do they allow time for– Study start-up activities (non-refundable)– Training– Unanticipated activities – protocol amendments,
unanticipated monitoring visits, audits, etc– Keep in mind industry budgets are negotiable
• If you are writing the budget, is the RFA amount sufficient for all the study activities?– If not – what will need to be cut from the protocol.
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Budgeting help
• CRBB Detailed Budget Tool• https://depts.washington.edu/crbb/Submit_B
udget.shtml• For help contact CRBB
– [email protected]– 206-543-7774
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Space
• Do you have room for:– Research personnel– Study binders– Any equipment needed– Lab supplies OR
• Will you have to look for more space?
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Start up activities - contracts
• Read the protocol– Make sure everyone on the research team reads
the protocol• Decide if the study is feasible• Let your Division/Departmental administrator
know you are thinking of pursuing/accepting the contract
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Considerations if you didn’t write the protocol
• Is it well designed?• Any ethical issues?• Is there potential benefit to participants?• Will the sponsor allow modifications if you
don’t think it is feasible as written?• Are the visits/procedures onerous for
participants?• Drug available at the end of the study?
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Study start-up activities - Develop all study materials
• Regulatory Binder• Study visit records• Case report forms• Eligibility checklist• Adverse event report forms• Protocol deviation report forms• Screening logs• Training logs • PI Delegation logITHS forms - www.iths.org/forms
https://www.washington.edu/research/clinical-research-handbook//
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Study start up activities – training
• Human Subjects Protection • Good Clinical Practice• HIPAA• Clinical Research Budget and Billing• Office of Sponsored Research seminars• Clinical Research Education Series – ITHS• Fundamentals of Clinical Research - ITHS
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Who to go to for help• General questions about clinical research at the UW
– Ella Mae Kurashige, Director Clinical Research Services - [email protected]
• Office of Sponsored Programs - http://www.washington.edu/research/osp/?page=osp
• ITHS Research Navigator - https://www.iths.org/help• UW Clinical trials handbook
https://www.washington.edu/research/clinical-research-handbook//: submission checklists, repository for how to do clinical research at the UW Medicine 49
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Who to go to for help
• How to get assistance from a research coordinator – Michelle Doyle – ITHS Research Coordinator Core [email protected]
• Study design and biostatistical help – ITHS Center for Biomedical Statistics
http://depts.washington.edu/medstat/Welcome.html• Investigational Drug Service – Sheree Miller –
[email protected]• Research Bioethics – Ben Wilfond - ITHS RSB core
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Who to go to for help
• Research labs - Research Testing Service – [email protected]
• Regulatory questions – Ann Melvin, Jason Malone ITHS RSB core [email protected]
• Working with the UW CRC – Paul Hughes – [email protected]
• ITHS Bionutrition Core – Holly Callahan - [email protected]• ITHS Body Composition and Exercise Laboratory– Holly
Callahan - [email protected]
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Additional Resources
• Institute for Translational Health Sciences (ITHS) www.iths.org• Additional education http://www.iths.org/education
• Translational Research Toolkit – UW Healthlinks: search for Translational Research Toolkit http://healthlinks.washington.edu.offcampus.lib.washington.edu/
• PRIMER toolkit - http://researchtoolkit.org/