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Post marketing surveillance

Post marketing surveillance. Claudio Ceconi. ALL ABOUT CLINICAL TRIALS Rome, 29th & 30th May 2015. Clinical trial limitations. Nature Reviews: drug discovery. 2011;10:495. Scientific background: The clinical trial programme in the pre-authorisation phase. Focused on efficacy

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Post marketing surveillance

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  1. Post marketing surveillance Claudio Ceconi ALL ABOUT CLINICAL TRIALS Rome, 29th & 30th May 2015

  2. Clinical trial limitations Nature Reviews: drug discovery. 2011;10:495

  3. Scientific background: The clinical trial programme in the pre-authorisation phase • Focused on efficacy • Safetyis a secondaryendpoint, generallyunderpowered and notpre-specified

  4. Clinical trial limitations: external validity • Excluded in 283 RCT because of: • Children in 60,1% • Elders (>65 years) in 38,5%. • Females in 47,0% • Concurrent diseases in 81,3% (in 30,9% of trials considered unjustified) Van Spall HGC, et al. JAMA 2007;297:1233-40

  5. Clinical trial limitations: small sample size Friedman MA et al., JAMA 1999; 281:1728-1734

  6. Challenge Faced by Regulatory Authorities at Marketing Approval: How to ensure that life-saving therapies are available in a timely fashion while Still guarantee that medicines are safe

  7. What we do not know at time of approval Full safety profile including adverse drug reactions which are: • Rare. • Delayed (long latency). • From chronic exposure. • Due to cumulative effects. • Medication error/off-label use. • Associated with abuse/misuse. • Associated with populations not studied in trials (e.g. children, elderly, pregnancy, co-morbidities).

  8. Clinical trial limitations: Extensive use of surrogate endpoints • Pre-authorisation studies (5 RCT, lenght 52 weeks, patients: 1967 vs. 763) inadequate for assessing the effects of the drug on micro and macrovascular complications • Increase in fluid retention • Increase of body weight and LDL levels BMJ | 11 SEPTEMBER 2010 | VOLUME 341

  9. Impact of the new EMA PhV legislation • Biggest change to the legal framework for human medicines since 1995 • Product life-cycle impacted • Major change project that will take a few years to fully implement New legislation 1. Directive 2010/84/EU of the European Parliament and of the Council of 15 December 2010. Official Journal L 348, 31/12/2010, p. 74 - 99. http://ec.europa.eu/health/files/eudralex/vol-1/dir_2010_84/dir_2010_84_en.pdf 2. Regulation (EU) No 1235/2010 of the European Parliament and of the Council of 15 December 2010. Official Journal L 348, 31/12/2010 p. 1 - 16. http://ec.europa.eu/health/files/eudralex/vol-1/reg_2010_1235/reg_2010_1235_en.pdf

  10. Toolsformonitoring and assessingrisk-benefitprofile Data Sharing (transparency) FDA EMA • Publiclyavailable PhV Database (FAERS) • RiskEvaluation and MitigationStrategies (REMS) • DrugSafetyInitiatives: • Critical PathInitiatives • Sentinel (Mini-Sentinel) • DrugSafetyConsortia: • iSAEC • CSRC • HESI • Publiclyavailable PhV Database (EudraV) • Risk Management Plans (RMP): • - PASS/PAES (New PhV Legislation) • DrugSafetyInitiatives: • - Encepp • - IMI (Innovative MedicinesInitiatives) • DrugSafetyConsortia: • SOS • EU-ADR • ARITMO • Safeguard

  11. PASS Post-authorization safety study: definition Any study relating to an authorised medicinal product conducted with the aim of identifying, characterising or quantifying a safety hazard, confirming the safety profile of the medicinal product, or measuring the effectiveness of risk management measures.

  12. Post-authorization safety study: objectives • to quantify potential or identified risks • to evaluate risks of a medicinal product used in patient populations for which safety information is limited or missing (i.e. pregnant women, specific age groups, patients with renal or hepatic impairment) • to provide evidence about the absence of a risk • to assess patterns of drug utilisation that add knowledge on the safety of the medicinal product (i.e. indications, dosage, co-medication, medication errors) • to measure the effectiveness of a risk minimisation activity.

  13. PASS:observational design

  14. PASS: triggering factors • PASS initiated, managed or financed by a MAH • Pursuant to an obligation imposed by a competent authority • as a condition to the granting of the marketing authorisation, or after the granting of a marketing authorisation if there are concerns about the risks of the authorised medicinal product (category 1) • as part of a marketing authorization granted under exceptional circumstances (category 2) • Voluntarily/required • studies required in the risk management plan to investigate a safety concern or evaluate the effectiveness of risk minimisation activities(category 3) • any other PASS (category 4)

  15. Open label study • A-priori hypothesis for sample size calculation overestimated (Incidence pre-specified of the primary endpoint 11% vs. 2.6% of the true incidence) therefore sample size underpowered. • Incidence of AMI significantly different from the epidemiological evidence • Around 40% of patients withdrawn the treatment with rosiglitazone • The Rosiglitazone group reported significantly higher treatment with lipid lowering drugs

  16. Post-authorisation efficacy studies Delegated Regulation to determine situations for a PAES: In order to determine the situations in which post-authorisation efficacy studies may be required […] the Commission may adopt […] delegated acts" (Article 22a of Directive 2001/83/EC and 10b of Regulation (EC) No 726/2004)

  17. PAES – Practical aspects • Exceptional tool for 'standard' marketing authorisations • Context: efficacy evaluation • Identified concern - burden of proof with regulators • Justified on a case-by-case basis • Goal: address well-reasoned scientific concerns with direct impact on the maintenance of the marketing authorisation • Design: appropriate to answer the scientific question – focal point: supplementing efficacy data

  18. PAES: Open Issues • Guidelinedocument by EMA • Place in therapy • ascomparedto the standard ofcare… • Superiority vs non-inferiority design • subpopulationsmostlikelyto benefit fromdrug • Unmetclinicalneeds vs drugpolicies (payment by results) • Cooperation(drugcompanies – academia – regulators)

  19. The Sibutramine experience • 1997 sibutramine approved for weight loss by FDA labelled warning re BP and heart rate increases • 2002 EMA requires CV outcomes trial (SCOUT) • 10,744 overweight/obese with CV disease and/or diabetes over 3.4 years

  20. sibutramine SCOUT (Sibutramine Cardiovascular Outcome Trial) requested by CHMP at the time of MAA to define risk-benefit profile in overweight high-risk cardiovascular patients age ≥55, standard WHO BMI criteria + CVE or T2DM & add CVRF 1EP composite of MI, stroke, resuscitated cardiac arrest, CV death N=9000

  21. sibutramine • interim analysis found 16% increased risk of CV events such as MI and stroke compared with placebo-treated patients (HR 1.161 [95% CI 1.029–1.311]; p=0.016)

  22. The Sibutramine experience 1997 sibutramine approved for weight loss by FDA labelled warning re BP and heart rate increases 2002 EMA requires CV outcomes trial (SCOUT) 10,744 overweight/obese with CV disease and/or diabetes over 3.4 years sibutramine placebo  hazard ratio 1.16 (95% CI 1.03 to 1.31) published NEJM Sept 2, 2010 drug withdrawn by FDA, EMA etc. soon after

  23. The specific situations

  24. CONCLUSIONS Often, the Benefit/Risk balance of a medicinal product cannot be fully identified until after a drug is on the market and has been used by a large, diverse group of patients over time. Clinical trials conducted before approval may be too small, too short, based on surrogate endpoints….. to detect all possible risks(…and efficacy). Studies based on post marketing surveillance need to be defined at the time of MAA (case by case basis)

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