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Investigational Plan

Workshop on FDA Product Life Cycle of an Investigational Device Exemption NHLBI June 24, 2010 Tara A. Ryan, MD, MS, MBA Interventional Cardiology Devices Branch ODE/DCD. Investigational Plan. Types of IDEs. Feasibility study

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Investigational Plan

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  1. Workshop on FDA Product Life Cycle of an Investigational Device Exemption NHLBI June 24, 2010 Tara A. Ryan, MD, MS, MBA Interventional Cardiology Devices Branch ODE/DCD Investigational Plan

  2. Types of IDEs • Feasibility study • May provide support for a future pivotal study or may be used to answer basic research questions • Not intended to be the primary support for a marketing application • Endpoints and sample size generally not statistically driven • Often required by FDA prior to pivotal study to assess basic safety and potential for effectiveness • Generally ~10-40 patients but may be larger • FDA review is primarily focused on safety

  3. Types of IDEs • Pivotal study • Generally intended as the primary clinical support for a marketing application • Endpoints and sample size statistically driven • Designed to assess both safety and effectiveness • FDA review is much more complex

  4. FDA’s Feasibility IDE Review • Focused on safety • Critical issues • Reasonable study conceptually? • Adequate preclinical validation of device? • Appropriate mitigation of potential risks? • Appropriate enrollment criteria? • Patients adequately informed? • Sample size appropriate?

  5. FDA’s Pivotal IDE Review • Focused on safety and plan for collecting and evaluating study data • Additional critical issues • Trial endpoints • Randomization, blinding, etc • Study conduct and monitoring • Statistical analysis plan

  6. Investigational Plan(21 CFR 812.25) • Name and intended use of the device • Objectives and duration of the investigation • Protocol • Risk analysis • Device description • Monitoring procedures • Labeling • Consent materials • IRB information • Other institutions • Additional records and reports

  7. Objectives of the clinical investigation For example, if the study is a feasibility study, tell us what is being looked at: • Initial evaluation of the device in humans or a certain population • Evaluation of potential safety issues • Evaluation of device design • Assessing certain human factors (patient or operator)

  8. Study Design • General study design • Proposed subject population • Anticipated number of subjects • Inclusion criteria • Exclusion criteria

  9. Study Procedures • Screening procedures • Study treatment (allocation, breaking the blind) • Follow-up assessment methods including the schedule of testing

  10. Study Outcome Measurements • What is the primary effectiveness endpoint? • What is the primary safety endpoint? • Are there secondary endpoints? If so, clearly state these and describe methods for analysis. • Sample size determination • Adverse events • Data and Safety Monitoring Committee

  11. Risk Analysis • What are the potential risks to the patient? • Does the study mitigate the risks where possible? • Adverse Events: How will they be recorded and reported to FDA and the IRB?

  12. Device Description • Description of each important component, property and principle of operation of the investigational device. • If applicable, state any anticipated change(s) in the investigational device during the course of the study.

  13. Monitoring Procedures • Two major issues: • Who can be a monitor? • What constitutes adequate monitoring?

  14. Who Can Be A Monitor? Applicable FDA Regulation: • A sponsor shall select monitors qualified by training and experience to monitor the investigational study in accordance with this part and other applicable FDA regulations. • 21 CFR 812.43(d)

  15. What Constitutes Adequate Monitoring? • No universal tool or master template policy • Following the written procedures for monitoring included in the investigational plan {21 CFR 812.25(e)} • Obtaining a signed investigator agreement from each participating investigator {21 CFR 812.43(c)} • Providing investigators with the information they need to conduct the investigation properly (21 CFR 812.40) • Ensuring subjects signed an IRB-approved informed consent form prior to instituting study activities • Device accountability: • Maintaining accurate, complete, and current records of disposition that describe the batch number or code marks of any devices returned to the sponsor, repaired, or disposed of in other ways by the investigator or another person, and the reasons for and method of disposal {21 CFR 812.140(b)(2)}

  16. Other Items Needed in the Investigational Plan • Labeling • Patient Consent Materials • Case Report Forms • IRB Information • Information on other participating institutions

  17. Submission Elements, Pivotal IDEs • Primary and secondary endpoints • Discussion of appropriateness of endpoint parameters, hypotheses, and success criteria • Basic trial design • Controlled? If not, why not? • Randomized? If not, why not? • Blinded? If not, why not?

  18. Pivotal IDEs – Frequent FDA questions • Trial conduct and study monitoring • Data handling and adjudication process • Sponsor blinding • Independent committees • Case report forms • Is the right information being gathered to support the study endpoints and are investigators adequately prompted to report adverse events?

  19. Pivotal IDEs – Frequent FDA Questions (Cont.) • Statistical analysis plan • Type-1 error and multiplicity • Missing data handling • Sample size calculations and assumptions • Assessment of critical covariates • Adaptive design plans • Interim analyses and early stopping rules • Data handling

  20. Pivotal IDEs • Statistical analysis plan Provide enough detail to avoid ambiguity once the trial has started.

  21. Emergency use of an approved device • Three circumstances for emergency use of an unapproved device • No IDE for the device • Use of a device under an IDE where the physician wants to use it in a way not described in the IDE • When the physician, who wants to use it, is not an investigator

  22. Criteria for emergency use • Each of the following conditions must exist • Life-threatening condition or serious disease or condition • No generally acceptable alternative treatment is available • No time to obtain FDA approval • FDA expects the physician to determine whether these conditions have been met and must assess potential for benefit and have substantial reason to believe benefit will occur.

  23. After the emergency use • Physician must notify the IRB within 5 days • If future use likely, immediately initiate effort to obtain IDE and IRB approval • If device was under an IDE, physician notifies the sponsor, who must report to FDA within 5 days • If no IDE exists, physician notifies FDA • About the emergency use • Patient protection measures • Scientific results

  24. Resource – FDA Website Device Advice: http://www.fda.gov/cdrh/devadvice/ IDE Information: http://www.fda.gov/cdrh/devadvice/ide/index.shtml Right of Reference and Master Files: http://www.fda.gov/cdrh/dsma/pmaman/appdxc.html#P7_2

  25. Questions/Comments Tara.Ryan@fda.hhs.gov Direct: 301-796-6352

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