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Improving the agenda for SWITCH for nonprescription Medicines Sheila Kelly WSMI. September 2015. World Health Organisation support. “ …It has become widely accepted that self-medication has an important place in the health care system...
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Improving the agenda for SWITCH for nonprescriptionMedicinesSheila Kelly WSMI September 2015
World Health Organisation support “…It has become widely accepted that self-medication has an important place in the health care system... Improvements in people’s general knowledge, level of education and socioeconomic status in many countries form a reasonable basis for successful self-medication.” 2000 http://apps.who.int/medicinedocs/en/d/Js2218e
Switch Regulation – The starting point • Many regulatory regimes start with an assumption of non-prescription status for all medicines, • EU “medicines shall only be prescription if they are likely to present a danger if used without medical supervision", are frequently abused, contain novel substances (NCEs) or are parenteral products. All others are nonprescription • The United States “a drug must be made available without a prescription if, by following the labelling, consumers can use it safely and effectively without professional guidance.” Japan, Australia, Canada, New Zealand, China follow this model Brazil is proposing a similar approach
The regulatory classification system • There must be a clear differentiation between prescription-only medicine and nonprescription medicine The Spanish example: Law on the Guarantees and Rational Use of Medicines (2006): • Brought a distinction between prescription and nonprescription medicines • The presentation of a prescription when supplying prescription medicines became essential & enforced.
The regulatory classification system • In some countries there is a graduation in the level of availability of nonprescription products • “behind the counter” • “pharmacy self-selection” (Australia: “S2”) • “general sale” Examples of “reclassification” or “switch” within this scheme: • Australia: a number of athlete’s foot remedies have been switched from ‘S2’ to ‘General Sale’ status since 2006 • Finland: NRT products switched from ‘pharmacy-only’ to ‘general sale’ in February 2006 • Sweden: sale of NRT products allowed outside of pharmacy in March 2008
Country OTC ingredients tables http://www.wsmi.org/otc.htm
Future switches -Expanding the parameters Symptomatic relief Initial doctor diagnosis Long term usage Prevention
Identifying new areas for switch Source: AESGP 2002 http://www.aesgp.be/ResearchProject/FinalReport.pdf
OTC Safety WHO Guidelines for the Regulatory Assessment ofMedicinal Products for use in Self-Medication “It cannot be assumed that prescription status necessarily provides a greater guarantee of safety than non-prescription status. Where for example prescription status has been considered preferable it is important to know whether in practice physicians can and do perform diagnostic testing or monitoring . If commonly they do not, the provision of the medicinal product in self-medication form with appropriate warning instructions may provide at least as great a measure of safety for the user.
Identifying new areas for switch Collaborative care indications
Identifying new areas for switch Collaborative care indications
Why are new nonprescription medicines approved? • We know what questions to ask • We did not know how to priorities the data or evaluate the answers • Needed a tool to enable industry and regulators to have a dialogue and come to a common position.
The Benefit risk model for evaluating a drug for nonprescription status E P Brass, R Lofstedt and O Renn. Improving the Decision-Making Process for Nonprescription Drugs: A Framework for Benefit – Risk Assessment Clin. Pharmacol. Ther. 2011: doi: 10.1038/clpt.2011.231
risk difference forest plot Favours comparator Favours study drug Source: Bennett Levitan and Filip Mussen: Regulatory Rapporteur Vol 9 no 6 June 2012
Communication and stakeholder involvement is key from the beginning of a switch and afterwards International Risk Governance Council (IRGC) Framework: maximize communication and transparency Brass, Loftstedt and Renn: Clin Pharmacol Ther 90:791, 2011
Data protection • Data protection encourages innovation: For a defined and limited period, a regulatory authority does not refer to the data of one party to grant registration or approvals for another party, without the agreement of the owner. • Data exclusivity: a generic applicant can use the registration files of the original application only after a defined period of time (e.g USA and Japan: 3 years) .
Essentials for a switch framework • The default position is nonprescription, define the criteria to be met if a drug is to be restricted to prescription supply based on safety, all other drugs are nonprescription • Publish lists of prescription and nonprescription medicines • Guidelines for an application for change of legal classification with timelines and clear processes • Scientific advice meetings between agency and manufacturer • A benefit: risk approach to evaluate applications for switches involving new indications and major new ingredients • Build data protection into the framework of legislation in sup • An effective pharmacovigilance system