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Regulatory Requirements for Pharmaceutical Generics MFPD Conference Montreal June 21, 2010

Regulatory Requirements for Pharmaceutical Generics MFPD Conference Montreal June 21, 2010. Eric Ormsby Therapeutic Products Directorate. Outline. History of bioequivalence Regulations to support generic drugs Guidance relevant to generic drugs Proposed changes to guidance.

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Regulatory Requirements for Pharmaceutical Generics MFPD Conference Montreal June 21, 2010

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  1. Regulatory Requirements for Pharmaceutical Generics MFPD Conference Montreal June 21, 2010 Eric Ormsby Therapeutic Products Directorate

  2. Outline • History of bioequivalence • Regulations to support generic drugs • Guidance relevant to generic drugs • Proposed changes to guidance

  3. History of bioequivalence in Canada • Research done in HC labs in 60s indicated generics could be accepted based on blood levels • 1967 Harley Parliamentary report on drug costs recommended compulsory licensing • 1969 Amendment to the Patent Act allows compulsory licensing • First developed country to allow generics • First generic => Valium (diazepam) • Special Advisory Committee established in 1974 to provide recommendations on scope and data requirements

  4. History con’t • Expert Advisory Committee re-established for 1986-1993 and provided recommendations in reports A, B, C • Report A => Conduct and Analysis of Bioequivalence Studies (1992) • Report B => Modified-release Dosage Formulations (1996) • Report C => stayed as a report – complicated PK drugs and PD studies

  5. History con’t • 1989 Bio-international conference in Toronto • 1990 Crystal City meeting on Bioanalytical validation • 1993 Patent Act amended to respect existing patents • 1995 Abbreviated New Drug Submission regulations • 2002- present - Scientific Advisory Committee established to provide recommendations on revisions to guidances • January 2010 – two guidances issued for consultation => combines 11 guidances

  6. Regulations

  7. C.08.002.1.- Abbreviated New Drug Submission (ANDS) (1) A manufacturer of a new drug may file an ANDS for the new drug where in comparison with the Canadian reference product (CRP), (a) the new drug is the pharmaceutical equivalent of the CRP; (b) the new drug is bioequivalent with the CRP, based on the pharmaceutical and, where the Minister considers it necessary, bioavailability characteristics; (c) the route of administration of the new drug is the same as that of the CRP; and (d) the conditions of use for the new drug fall within the conditions of use for the CRP.

  8. C.08.002.1.(2)Regulation Con’t • Safety and effectiveness - evidence of pharmaceutical equivalence - information on the CRP - when needed bioavailability characteristics that are bioequivalent with the CRP through bioavailability, pharmacodynamic or clinical studies

  9. Canadian Reference Product • Defined in regulation as (a) a drug in respect of which a NOC is issued pursuant to Section C.08.004 and which is marketed in Canada by the innovator of the drug (b) a drug, acceptable to the Minister, that can be used for the purpose of demonstrating bioequivalence on the basis of pharmaceutical and, where applicable, bioavailability characteristics, where a drug in respect of which a NOC has been issued cannot be used for that purpose because it is no longer marketed in Canada, or (c) a drug, acceptable to the Minister, that can be used for the purpose of demonstrating bioequivalence …. in comparison to a drug referred to in paragraph (a).

  10. Pharmaceutical Equivalent • Defined in regulations as: a new drug that, in comparison with another drug, contains identical amounts of the identical medicinal ingredients, in comparable dosage forms, but that does not necessarily contain the same non-medicinal ingredients.

  11. Guidances

  12. Use of Foreign Reference Product • Requirements for using a foreign reference product instead of the product on the Canadian market are given in the Policy entitled: Canadian Reference Product - must be simple dosage form - drug must have simple PK - other criteria such as dissolution testing, labelling, manufacturer, etc

  13. Identical medicinal ingredients • What can be considered identical is defined in the policy document entitled: Interpretation of “Identical Medicinal Ingredient” - hydrated forms are identical - unsolvated and solvated forms are identical with supporting data - different complexes (esters, salts, etc) are non-identical - different isomers are non-identical

  14. Bioequivalence • Comparative bioavailability study - almost always measured by collecting blood levels over time after dosing in fasted volunteers on two separate occasions the test and reference formulations in a crossover design • Comparative pharmacodynamic study - must be a measure which directly relates to action of the drug (FEV1, acid reduction) • Comparative clinical endpoint study

  15. Biowaivers • Solutions - these products do not need bioavailability data only chemistry and manufacturing data • Proportional Dosage Forms - only one strength in a dosage line needs to show bioequivalence if they are proportional - must have similar dissolution rates

  16. Proposed 2 new guidances

  17. Guidance 1: Conduct of Bioequivalence Studies • GMP • GCP • A well designed study • Must control type I error at 5% • Validated bioanalytical method • Validated statistical methods and programs • Appropriate standards met

  18. Food studies • Currently: only fed study for complicated kinetics and MR formulations • Proposal: for certain IR formulations and for all MR formulations • Issue: no problems identified with current standard but when innovator PM states food effect or lack of one how should this be applied to subsequent-entry product?

  19. Metabolites • Currently: unclear when metabolites can be used to determine BE • Proposal: BE to be determined on the drug which was formulated, if not possible then metabolite, preferably a primary metabolite. Metabolite must be justified and stated in protocol (can use metabolite as a covariate) • Why: It is the formulated drug that is being absorbed

  20. Guidance 2:Standards • All standards in one document • No complicated vs uncomplicated drugs • Offer points to consider for pharmacodynamic studies

  21. Bioequivalence intervals • These have been redefined with increased precision from e.g. 80% to 80.0% • Only affects rounding off

  22. Potency Correction • Currently: BE must be shown in both the observed data as well as after potency correction • Proposal: Only require analysis on observed concentrations … but potency content should be within 5% of reference • Why: 5% rule should keep test and reference formulations comparable

  23. Steady-state studies for MRs • Currently: steady-state study required when accumulation is indicated in single-dose study • Proposal: remove requirement • Why: steady-state does not give any better comparison of the two formulations

  24. The basic standard for most drugs • The 90% confidence interval for the mean geometric ratio of AUCt must be between 80.0-125.0% , and, • Mean geometric ratio of Cmax must be between 80.0-125.0%

  25. Critical Dose Drugs • The 90% confidence interval for the mean geometric ratio of AUCt must be between 90.0-112.0% , and, • The 90% confidence interval for the mean geometric ratio of Cmax must be between 80.0-125.0% • Fed and fasted states • Any drugs need to be added to list????

  26. Combination products • Each drug in a combination must meet its own standard

  27. Time to onset important • The 90% confidence interval for the mean geometric ratio of AUCt and Cmax must be between 80.0-125.0% , and, • Mean geometric ratio of AUCreftmax must be between 80.0-125.0% • Is there a better measure for rate????

  28. Long Half-life drugs • terminal elimination half-life >24 hours • The 90% confidence interval for the mean geometric ratio of AUC0-72 must be between 80.0-125.0% , and, • Mean geometric ratio of Cmax must be between 80.0-125.0%

  29. Non-linear drugs • Currently: draft guidance states what dose to use and that fed and fasted studies should be run, non-linearity determined from literature • Proposal: same only for highly soluble drugs possible waiver for fed study • Why: the fed study does not provide any addition information for a non-linear highly soluble drug • Do we need a fed study at all ????

  30. Highly Variable Drug Products • HVDP has greater than 30% intra-subject CV • Should we allow a wider bioequivalence interval for HVDP????? • Some issues: - HVDP or a Highly Variable Study - should the single study determine BI - influence of outliers

  31. Endogenous substances • Adjustment for baseline based on the average of three pre-dose concentrations • negative results set to zero • Positive values found after a negative value past Cmax should also be set to zero • Analysis of distribution of zeros between formulations suggested

  32. Urine data • Unchanged drug only • 90% CI for relative mean AeT should be within 80.0 and 125.0 % • Relative mean Rmax should be within 80.0 and 125.0 % • Are these appropriate????

  33. Thank you for your attention… Send comments on guidances and other issues to policy_bureau_enquiries@hc-sc.gc.ca Hope to receive many thoughtful comments and proposals

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