1 / 20

U.S. Food and Drug Administration

U.S. Food and Drug Administration. Notice: Archived Document The content in this document is provided on the FDA’s website for reference purposes only. It was current when produced, but is no longer maintained and may be outdated. . The Route to Approval. Mid-Atlantic Bio

kolina
Download Presentation

U.S. Food and Drug Administration

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. U.S. Food and Drug Administration Notice: Archived Document The content in this document is provided on the FDA’s website for reference purposes only. It was current when produced, but is no longer maintained and may be outdated.

  2. The Route to Approval Mid-Atlantic Bio Robert A. Yetter, Ph.D. Associate Director for Review Management Center for Biologics Evaluation and Research Food and Drug Administration

  3. Avoiding the Rocks and Shoals

  4. Booz Allen Hamilton Booz Allen Hamilton “Independent Evaluation of FDA’s First Cycle Review Performance – Retrospective Analysis Final Report” January 2006 http://www.fda.gov/ope/pdufa/PDUFA1stCycle/pdufa1stcycle.pdf

  5. Effect of End of Phase 2 Meetings on Approval Rate

  6. Issues may be raised early but…responsiveness is needed • 71% of major deficiencies are identified at a pre-submission meeting but not resolved by first action • Lack of clarity on severity? • Belief that issue can be resolved during review? • Unwillingness of sponsor to comply and/or postpone submission of application? • Desire for a comprehensive review of application and identification of other deficiencies?

  7. Responsiveness to issues (cont.) • Alternative pathways are a possibility! • Modification or unbundling of indication • “Can this trial be saved? • Need early and open discussions on acceptable resolution pathways from FDA and sponsors

  8. Interestingly enough… • Compliance with FDA recommendations more critical for CMC deficiencies • Alternative pathways, including postmarketing study commitments, appear to be more of an option for non-CMC deficiencies • Note: Additional policies under development for PMC and PMR development and tracking

  9. Disposition of Significant First Action Deficiencies in Multi-Cycle Approvals

  10. Does it matter when you submit? Timing of submissions • 2-3x the number of submissions in the 4th quarter compared to any other quarter in a calendar year • 4th quarter applications have the lowest rate of first-cycle approval without any apparent differences in application quality • FDA workload? Note: anecdotally, FDA staff believe that 4th quarter applications are of lower quality

  11. Submission Timing vs. Number of Submissions or First-Cycle Approval Rates

  12. What Reviewers are saying: • Do your homework – use Guidance Documents • Hire consultants if you do not have in-house expertise – do not ask FDA to develop your program • Science, not marketing, should drive your program

  13. Avoid “Rookie Mistakes” • Failure to submit a complete application • If you have to ask “Can we submit the [fill in the blank] section of the application [fill in the length of time] after we submit the application?” you are not ready • Don’t submit your application prematurely according to corporate targets – multiple review cycles are NOT faster

  14. Avoid “Rookie Mistakes” • Insufficient attention to details related to electronic submissions • Not following advice or addressing a concern • Persisting disagreements over issue resolution  approval delays • Delay or avoid meeting with FDA

  15. Use Meetings Wisely • Follow the Guidance for Industry, Formal Meetings with Sponsors and Applicants for PDUFA Products (May 2009) • http://www.fda.gov/downloads/Drugs/GuidanceComplianceRegulatoryInformation/Guidances/UCM153222.pdf • End-of-Phase 2 meetings are the most important • Pre-submission meetings are too late to fix the big problems • Pay attention to what is being said • Be aware of “regulatory speak” • Understand and consider our perspective

  16. For a Successful Meeting - Do • Provide a brief background summary • Assume the meeting package has been read • Show how study fits overall development plan • Focus on questions • Limit your presentation • Summarize agreements/disagreements • Bring hardcopy of slides for RPM

  17. Please, Don’t - • Regurgitate the meeting package • Expect FDA to guess your critical issues • Request a pre-BLA before pivotal trial results shown to demonstrate efficacy and safety • Present issues outside proposed agenda • Send new data just before meeting • Expect evaluation of new data presented at meeting

  18. After the Meeting - • Review agreements • Request FDA minutes of meeting • Notify FDA of any differences • Follow through

  19. We’re Here to Help You! • CBER’s Office of Communication, Outreach and Development at : 301-827-2000 • Consumers, Healthcare providers: ocod@fda.hhs.gov • Industry, Consultants: matt@fda.hhs.gov • Contact me via phone at: 301-827-0373 • Or contact me via e-mail at: Robert.yetter@fda.hhs.gov

  20. Resources • CBER’s webpage: http://www.fda.gov/BiologicsBloodVaccines/default.htm • Contacting CBER: http://www.fda.gov/AboutFDA/CentersOffices/CBER/ucm106001.htm

More Related