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FDA Regulation of FDA Regulation of Pharmaceuticals and Pharmaceuticals and
DevicesDevices
Jean Toth-Allen, Ph.D.Good Clinical Practice Program
Office of Science and Health CoordinationOffice of the Commissioner
OverviewOverview
• FDA regulations versus 45 CFR Part 46
• Pharmaceuticals and devices– What they have in common– How they differ
• Bioresearch Monitoring (BIMO)
• Resources
• Acronyms
FDA versus 45 CFR Part 46 -1FDA versus 45 CFR Part 46 -1• FDA regulations found in Title 21, Code of
Federal Regulations – 21 CFR• Regulate products• Coverage includes – but not limited to:
– Nonclinical studies– Clinical studies– Human Subject Protection– Institutional Review Boards (IRBs)– Manufacturing– Labeling– Post-market adverse event reporting
FDA versus 45 CFR Part 46 -2FDA versus 45 CFR Part 46 -2
• FDA regulations “speak” to:– Manufacturers – Importers/exporters– Study sponsors– Nonclinical laboratory personnel– Clinical investigators– IRBs – Medical product users – hospitals, clinics,
nursing homes, individual practitioners
FDA versus 45 CFR Part 46 -3FDA versus 45 CFR Part 46 -3• 45 CFR Part 46 - regulates studies with human
subjects that are federally funded – biomedical, sociological, behavioral, educational
• Subpart A = Common Rule – general human subject protections
• Remaining subparts cover research protections in studies with vulnerable populations (pregnant women, fetuses, neonates, prisoners, children)
• “Speaks” to institutions and their IRBs• Crosses government agencies – enforcement
led by the Office of Human Research Protections (OHRP)
FDA versus 45 CFR Part 46 -4FDA versus 45 CFR Part 46 -4• Human subject protections of Common Rule
covered by FDA regulations in– 21 CFR Part 50 – Protection of Human Subjects – 21 CFR Part 56 – Institutional Review Boards
• 45 CFR 46, Subpart D comparable to 21 CFR 50, Subpart D – research with children
• Preambles to FDA regulations identify the need for special protections for other vulnerable populations but FDA regulations do not separately address
FDA versus 45 CFR Part 46 -5FDA versus 45 CFR Part 46 -5
• Both may apply to a given research study
• If there are regulatory differences, the more stringent requirements usually apply (e.g., FDA regulations allow for very few exceptions from informed consent)
Pharmaceuticals versus devicesPharmaceuticals versus devices
• Pharmaceuticals (drugs and biologics) are covered by different FDA regulations from those covering devices, though some regulations are shared
• Many differences result from differences among the products themselves
SHARED REGULATIONSSHARED REGULATIONS
• Part 50 – Protection of Human Subjects
• Part 56 – Institutional Review Boards
• Part 54 – Financial Disclosure by Clinical Investigators
• Part 58 – Good Laboratory Practices for Nonclinical Laboratory Studies
• Part 11 – Electronic Records; Electronic Signatures
COMPLIANCE PROGRAMSCOMPLIANCE PROGRAMS
• Programs are Agency-wide (available at http://www.fda.gov/oc/gcp/compliance.html)
• Contain instructions to FDA field personnel for inspecting regulated entities
• Center-specific differences are included where applicable
DIFFERENCESDIFFERENCES
• Nature of product, firms, and studies
• Statutory distinctions
• Regulatory distinctions
Nature of productNature of product
Pharmaceuticals Pharmaceuticals (drugs & biologics)(drugs & biologics)
• Molecular entities• Limited shelf life• Long market life• Potential for
interactions with other drugs
• Wrong drug/dose issues
DevicesDevices• Complex components• Many = durable
equipment• Short product cycles
– “tweaking” of design• Device malfunctions• User errors
Nature of firmsNature of firms
DevicesDevices• Entrepreneurial firms
common• Device “developer”
often involved• Many have minimal
clinical trial experience
• Sponsor-investigators common
PharmaceuticalsPharmaceuticals• Large, often multi-
national firms• Extensive clinical trial
experience
StudiesStudies
DevicesDevices• Nonclinical
– biocompatibility – nonclinical studies may suffice
• Clinical – subject populations usually 100s – pilot study possible + pivotal– blinding less common– “controls” vary– CI training often critical (Human
Factor concerns)
PharmaceuticalsPharmaceuticals• Nonclinical
– toxicology
• Clinical – subject populations
commonly 1000s– phases– routinely blinded– placebo = common control
Statutory DistinctionsStatutory Distinctions
• Devices lack market exclusivity provisions– Waxman-Hatch – pediatric studies and
extension of patent (drugs)– Orphan drug tax exemptions (drugs/biologics)
• FDAMA (1997) – included a “least burdensome” provision for devices
RegulationsRegulations
PharmaceuticalsPharmaceuticals• 21 CFR Part 312 –
IND• Part 314 – NDA• Part 600 – general
biologics provisions• Part 601 – BLA
DevicesDevices• 21 CFR Part 812 –
IDE• Part 809 - IVDs• Part 814 – PMA• Part 807, Subpart E –
510(k)
Clinical Investigators -1Clinical Investigators -1
• Common responsibilities across products:– Personally conduct or supervise the study– Ensure site study team is properly trained– Follow FDA regulations regarding HSP,
including obtaining and maintaining IRB approval and obtaining subject informed consent
– Follow the approved investigational plan/protocol
Clinical Investigators -2Clinical Investigators -2
• CI responsibilities (cont.):– Maintain adequate, complete, and accurate
study records – Submit all required reports (e.g., IND safety
reports, study progress reports)– Maintain control of the investigational product
Sponsors -1Sponsors -1
• Common responsibilities across products:– Obtain FDA approval, where necessary,
before study initiation– Manufacture and label investigational products
appropriately– Initiate, withhold, or discontinue clinical trials
as required– Refrain from commercialization of
investigational products– Maintain control of the investigational product
Sponsors -2Sponsors -2
• Sponsor responsibilities (cont):– Select qualified investigators and disseminate
appropriate information to them– Select qualified monitors and ensure the
study is adequately monitored– Evaluate and report adverse experiences– Maintain adequate records– Submit progress and final reports
Regulatory distinctions -1Regulatory distinctions -1PharmaceuticalsPharmaceuticals• Adequate, well-controlled
trials• CROs – 312.52 = transfer
of regulatory obligations• Form FDA 1572• FDA agreement not usually
required before enacting studies changes
• AE reports during study may use Form 3500A (Med Watch) – 312.32(c)(B)
DevicesDevices• Valid scientific evidence• CROs – regulations silent
save for definition of monitor [812.3(j)]
• Investigator agreement [812.43(c)]
• Significant study changes require IDE supplement approval
• AE reports during study notnot to go to MedWatch (i.e., not use MDR)
Regulatory distinctions -2Regulatory distinctions -2
PharmaceuticalsPharmaceuticals• Manufacturing –
cGMPs – Parts 210 & 211 + Part 606 for blood & blood products
• MedWatch reports for approved pharmaceuticals are voluntary
DevicesDevices• Manufacturing – Part
820 (QSR)• MDRs for approved
devices are mandatory – Part 803
Additional Device Distinctions -1Additional Device Distinctions -1
• Classes of Devices – risk-based
determination
– 21 CFR 860 – classification procedures
– 21 CFR 862 through 892 – specific device
classifications by product type
Additional Device Distinctions -2Additional Device Distinctions -2
• Cleared devices – 510(k) – 21 CFR 807, subpart E – Premarket
Notification Procedures– “substantially equivalent”
• Approved devices– 21 CFR Part 814 – PMA, PDP, HDE– Safety and effectiveness – PMA & PDP– Safety – HDE
Additional Device Distinctions -3Additional Device Distinctions -3
• Significant risk/non-significant risk studies
• Exempt studies/in vitro diagnostics (IVDs)
• Protocol changes and 5-day notices
Significant Risk (SR)Significant Risk (SR)• Regulatory definition (21 CFR 812.3(m)) – device
that presents potential for serious risk to health, safety, or welfare of a subject, particularly if it
• Is intended as an implant
• Is purported or represented for use in supporting or sustaining life
• Is for a use of substantial importance in diagnosing, curing, mitigating, or treating disease, or otherwise preventing impairment of human health
Non-Significant Risk (NSR)Non-Significant Risk (NSR)
• Decision based on use of device in study• Sponsor makes initial assessment• IRB makes determination• FDA can disagree• If NSR study, no IDE application to FDA• Informed consent required• Abbreviated requirements apply (21 CFR
812.2(b))• Considered to have an IDE
Exempt device studiesExempt device studies
• 21 CFR 812.2 (c)
• Studies with cleared devices, used as specified in clearance
• By policy, extended to approved devices, with same conditions
• Diagnostic devices that meet requirements specified – basically IVDs, as references labeling conditions of 809.10
In Vitro Diagnostics (IVDs)In Vitro Diagnostics (IVDs)
• SR/NSR/exempt studies
• Exempt if:• labeled according to 21 CFR 809.10
• noninvasive
• noninvasive sampling or no significant risk
• does not introduce energy into a subject
• not used as the diagnostic for determination of treatment
Significant Risk IVD StudiesSignificant Risk IVD Studies
• If study involves invasive sampling that presents a significant risk
• If results from use of an investigational IVD will determine treatment, could inaccurate results:
- be life-threatening- result in permanent functional impairment- result in permanent structural damage- necessitate medical or surgical intervention
to prevent impairment or damage
IVD Studies & HSP IssuesIVD Studies & HSP Issues
• Studies on specimens – included in device definition of a subject (812.3(p))
• Expedited review by IRB possible
• Confusion with 45 CFR Part 46
• Privacy & confidentiality
• FDA data audits
Additional IVD issues -1Additional IVD issues -1
• Drug-diagnostic co-development concept paper – April 2005 – http://www.fda.gov/cder/genomics/pharmacoconceptfn.pdf
• Guidance on use of left-over specimens that are not individually identifiable – April 2006 – http://www.fda.gov/cdrh/oivd/guidance/1588.html
Additional IVD issues -2Additional IVD issues -2• Interim final rule regarding exception
from informed consent (bioterrorism, emerging diseases) – September 2006 http://www.fda.gov/OHRMS/DOCKETS/98fr/E6-8790.pdf
• Draft guidance on Analyte Specific Reagents (ASRs) – September 2006 http://www.fda.gov/cdrh/oivd/guidance/1590.pdf
Additional IVD issues -3Additional IVD issues -3
• Draft guidance on Multivariate Index Assays (MIA) – September 2006 http://www.fda.gov/cdrh/oivd/guidance/1610.html– Public meeting held February 8, 2007
WEB PAGEWEB PAGE
Office of In Vitro Diagnostic Device Evaluation and Safety (OIVD)
www.fda.gov/cdrh/oivd/
IDE Protocol Changes -1IDE Protocol Changes -1
• IDE Supplement required if changes significantly affect:
• validity of data• scientific soundness of study• rights, safety, or welfare of subjects
IDE Protocol Changes -2IDE Protocol Changes -2
Examples when supplement required:
• indication change
• different type of study control
• alternative primary endpoint
• reduction in study population size
• change in method of evaluation
• early termination of the study
IDE Protocol Changes -3IDE Protocol Changes -35-day notice
1998 amendment to Part 812- if changes do not meet requirements for an IDE supplement
Examples:
• additional measurements• more targeted subject criteria• more frequent follow-ups• change in secondary endpoints
IDE Protocol Changes -4IDE Protocol Changes -4
GUIDANCE DOCUMENT – issued by Office of Device Evaluation (ODE)
Changes or Modifications During the Conduct of a Clinical Investigation - issued May 29, 2001
www.fda.gov/cdrh/ode/guidance/1337.html
www.fda.gov/cdrh/ode/guidance/1337.pdf
BIMO ProgramBIMO Program
Comprehensive program of on-site inspections and data audits designed to monitor all aspects of the conduct and reporting of FDA-regulated research
BIMO Program ObjectivesBIMO Program Objectives
• To ensure
– the integrity of data supporting submissions to the Agency
– the rights, safety, and welfare of study subjects
Bioresearch Monitoring (BIMO) -1Bioresearch Monitoring (BIMO) -1
• Specific group in each Center to oversee BIMO program– Bioresearch Monitoring Branch/Division of
Inspections and Surveillance/Office of Compliance – CBER
– Division of Scientific Investigations (DSI)/Office of Compliance - CDER
– Division of Bioresearch Monitoring (DBM)/Office of Compliance – CDRH
Bioresearch Monitoring (BIMO) -2Bioresearch Monitoring (BIMO) -2Present BIMO contacts• CBER
– Pat Holobaugh– Branch Phone # - (301) 827-6220
• CDER– Gary Della’Zanna– Division Phone # - (240) 276-8817
• CDRH– Michael Marcarelli– Division Phone # - (240) 276-0125
Bioresearch Monitoring (BIMO) -3Bioresearch Monitoring (BIMO) -3
Headquarters BIMO staff:• Interact with Center reviewers• Issue inspection assignments• Interact with ORA BIMO investigators• Review and classify EIRs• Issue post-inspectional correspondence• Take part in regulatory actions (AIP, DQ)• Provide staff for ORA BIMO investigator training• Provide speakers for outreach activities
Inspection assignmentsInspection assignments
• Assigned by HQ BIMO staff
• Majority issued on receipt of an application or submission– When for marketing, supporting study usually
completed
• “for cause” – usually when suspicion of integrity or human subject protection (HSP) issue – often for on-going studies
BIMO Compliance ProgramsBIMO Compliance Programs• Good Laboratory Practice – CP 7348.808• Institutional Review Board – CP 7348.809 • Sponsor, Contract Research Organizations
(CROs), Monitors – CP 7348.810 • Clinical Investigator – CP 7348.811
• In Vivo Bioequivalence – CP 7348.001
http://www.fda.gov/oc/gcp/compliance.html
Inspectional follow-upInspectional follow-up
• Final inspection classification made by HQ
• Post-inspectional correspondence issued to inspected party
• Administration/regulatory options vary by party inspected
• Recommendations may also be sent to those reviewing a research or marketing application/submission
GCP/BIMO Inspections Completed GCP/BIMO Inspections Completed FY 2006FY 2006
Center CI IRB Spon/Mon Total
CBERCBER 108 8 5 121
CDERCDER 401 66 32 499
CDRHCDRH 203 48 51 302 CFSANCFSAN 0 0 0 0
CVMCVM 41 n/a 1 42
All Centers 753 122 89 964
GCP/BIMO Inspections by CenterGCP/BIMO Inspections by CenterFY 2006FY 2006
CDRHCDERCBERCVM
n = 964
31%
52%
13%
4%
GCP/BIMO Inspections by Type GCP/BIMO Inspections by Type FY 2006FY 2006
CI
IRB
Sponsor/Monitor
n = 964
13%
78%
9%
Clinical Investigators Clinical Investigators • Compliance inspection program covers
study specific inspections and audits of CIs (physicians, veterinarians, others) conducting clinical trials on human and veterinary products
• Usually preannounced• Inspection includes an interview with the
clinical investigator and pertinent study staff + an in-depth study/data audit – to validate study findings and verify compliance with regulations
BIMO CI Inspections – FY 2006BIMO CI Inspections – FY 2006All Centers – completed & classifiedAll Centers – completed & classified
NAI
VAI
OAI
n = 595
4%
51%44%
Most Common CI DeficienciesMost Common CI Deficiencies
• Failure to follow the investigational plan • Protocol deviations• Inadequate recordkeeping• Inadequate accountability for the
investigational product• Inadequate subject protection – including
informed consent issues
Administrative/regulatory Administrative/regulatory optionsoptions
• Untitled or Warning letter
• Initiation of disqualification procedures
• Sharing information with Office of Criminal Investigations (OCI) for pursuit of prosecution
• Recommendation for rejection of site/study data
Institutional Review Boards Institutional Review Boards (IRBs)(IRBs)• Board, committee, or other group formally
designated by an institution to– review– approve the initiation of– conduct periodic review of
research involving human subjects
• Primary purpose of review = ensure protection of rights, safety, and welfare of the human subjects
Applicable regulationsApplicable regulations
• 21 CFR Part 50 – Protection of Human Subjects – contains informed consent requirements
• 21 CFR Part 56 – Institutional Review Boards – includes specifics of IRB’s make-up and duties
IRB InspectionsIRB Inspections• Compliance program provides for regularly
scheduled inspections to verify compliance with regulations
• Objective is protection of human subjects rather than data validation
• Inspections – usually preannounced– consist of
• interviews with responsible IRB staff• in-depth review of SOPs, files, and records• review of active studies to assess IRB operations
IRB Inspections – FY 2006IRB Inspections – FY 2006All Centers – completed & classifiedAll Centers – completed & classified
NAI
VAI
OAI
47%
n = 68
4%
49%
Most common IRB deficienciesMost common IRB deficiencies
• Inadequate initial and/or continuing review
• Inadequate SOPs
• Inadequate membership rosters
• Inadequate meeting minutes
Specific to devices – lack of or incorrect SR/NSR determination
Administrative/regulatory Administrative/regulatory optionsoptions
• Untitled or Warning letter
• Restriction of functions– prohibiting increase of subject population in
on-going FDA-regulated studies– prohibiting review of new FDA-regulated
studies
• Initiation of disqualification procedures
Sponsors/CROs/MonitorsSponsors/CROs/Monitors
• Compliance program – covers parties responsible for initiating and
overseeing research and for submitting research results to FDA
– lists sponsor responsibilities• Inspections
– usually preannounced– consist of interviews and audits of study records– objective is to both evaluate compliance with
regulations and validate data– commonly assigned for NDAs for new molecular
entities (NMEs) and for PMAs
Sponsor-Monitor InspectionsSponsor-Monitor InspectionsFY 2006 - All Centers – completed & classifiedFY 2006 - All Centers – completed & classified
NAI
VAI
OAI
52%
14%
34%
n = 64
Most common S/M deficienciesMost common S/M deficiencies
• Inadequate monitoring
• Failure to bring investigators into compliance
• Inadequate accountability for the investigational product
Administrative/regulatory Administrative/regulatory optionsoptions
• Untitled or Warning letter
• Invocation of the Application Integrity Policy (AIP)
• Refusal to accept site or study data
• Denial of NDA/BLA/PMA
• Sharing information with Office of Criminal Investigations (OCI) for pursuit of prosecution
Bioequivalence (BEQ) studiesBioequivalence (BEQ) studies• Primarily support
– Abbreviated drug applications (ANDA) for generic drugs
– Applications for new form or formulation of marketed drugs
• Compliance program– Provides for inspection of both clinical facilities and
analytical laboratories involved with BEQ studies– Focuses on inspecting
• New facilities• Previously violative sites• Suspicious data• Non-conventional studies• Studies pivotal to NDA decision-making
BEQ inspectionsBEQ inspections
• Conducted by an inspection team, including a laboratory chemist and an ORA field investigator
• May involve multiple facilities
• Include– physical inspection and technical evaluation
of laboratory facilities and methods– audits of analytical and clinical data
Resources - 1Resources - 1• GCP website – http://www.fda.gov/oc/gcp/
– Links include • pertinent regulations and guidance• FDA contacts• related sites with HSP/GCP information
• Recent documents of interest relate to– Data monitoring committees– Use of a centralized IRB– AE reporting – CI supervisory responsibilities– Computerized systems in clinical trials
Resources - 2Resources - 2
• GCP queries e-mail account (about 1,200 queries answered per year) – [email protected]
• Previous answers captured – http://www.fda.gov/oc/gcp/redactedEmails/default.htm
• Listserve – via GCP website – notice of updates on FDA’s GCP/HSP activities
• Site maintained by Good Clinical Practice Program (GCPP)
Acronyms -1Acronyms -1• 510(k) – premarket notification• AE – adverse event (or effect)• AIP – Application Integrity Policy• BEQ – bioequivalence • BIMO – Bioresearch Monitoring• BLA – biologics license application• CBER – Center for Biologics Evaluation and
Research• CDER – Center for Drug Evaluation and
Research
Acronyms -2Acronyms -2• CDRH – Center for Devices and Radiological
Health• CFR – Code of Federal Regulations• CI – clinical investigator• cGMPs – current good manufacturing practices• CRO – contract research organization• DBM – Division of Bioresearch Monitoring• DSI – Division of Scientific Investigations• DQ – disqualification
Acronyms -3Acronyms -3• EIR – establishment inspection report• FDAMA – Food and Drug Administration
Modernization Act (1997)• GCP – Good Clinical Practice • GCPP – Good Clinical Practice Program• HDE – humanitarian device exemption• HSP – human subject protection• HQ – headquarters • IDE – investigational device exemption• IND – investigational new drug
Acronyms -4Acronyms -4
• IRB – institutional review board• IVD – in vitro diagnostic• MDR – medical device report • NAI – no action indicated• NDA – new drug application• NME – new molecular entity• NSR – non-significant risk• OAI – official action indicated• OHRP – Office of Human Research
Protections
Acronyms -5Acronyms -5
• OIVD – Office of In Vitro Diagnostic Device Evaluation and Safety
• ORA – Office of Regulatory Affairs• PDP – product development protocol• PMA – premarket approval• QSR – quality system regulation• SOPs – standard operating procedures• SR – significant risk• VAI – voluntary action indicated