1 / 15

New FDA Safety Reporting Requirements 2010

New FDA Safety Reporting Requirements 2010. John McLane, Ph.D. COO & Vice President Clinical and Regulatory Affairs Clinquest, Inc. jmclane@clinquest.com. Safety Reporting Requirements. Different requirements for Sponsors Investigators IRBs

rowdy
Download Presentation

New FDA Safety Reporting Requirements 2010

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. New FDA Safety Reporting Requirements 2010 John McLane, Ph.D. COO & Vice President Clinical and Regulatory Affairs Clinquest, Inc. jmclane@clinquest.com

  2. Safety Reporting Requirements • Different requirements for • Sponsors • Investigators • IRBs • Different requirements depending on type of study and funding • FDA • Drug • IND vs Postmarketing • Device • Food Supplements • Federal • ICH

  3. FDA: Sept 2010 • Guidance for Industry And Investigators: • Safety Reporting Requirements for INDs and BA/BE Studies • New Regulations • 21 CFR 312 IND Safety Reporting • 21 CFR 320 BA/BE Studies • Refers to Drugs and Biologicals • Closer alignment to ICH/EMA requirements

  4. Why New Regs and Guidances? • Too many reports unfiltered • SAE reports associated with • Manifestations of the disease • morbidity for stroke • Common in study population • Strokes in elderly population • Study Endpoints • Confusion with phrase: “associated with the use of the drug” and “reasonable possibility” • Refine definitions

  5. Define: Adverse Event (AE) • Same as adverse experience • Untoward medical occurrence associated with the use of a drug • Whether or not considered drug related • Note separation from causality • Unfavorable or unintended sign or symptom • Temporally associated with any use of the drug

  6. Define: Suspected Adverse Reaction (SAR) • Any AE reasonably possibility that drug caused AE • Decreased level of certainty then an adverse reaction • 1st use of “reasonable possibility” • The SAR & use of “reasonable possibility” is consistent with concepts about causality defined in ICH E2A

  7. Define “reasonable possibility” • Single occurrence of an uncommon event • AE know to be associated with drug exposure • Ex. Stevens-John syndrome • 1 or more events not commonly associated with drug exposure • Not common in the study population • Aggregate analysis of events that occur more frequently in tx arm

  8. Define: Unexpected AE or SAR • Safety event: • Not described in IB or protocol • Event is of greater severity/specificity than previously described • Hepato-necrosis is a Unexpected AE if IB has only hepatitus • Event is described as seen in similar drugs (class effect) but not yet observed with this drug • First occurrence of this type of event is a UAE

  9. Define: Serious (SAE) • Similar to prior use: • Death • Life-threatening • Excludes AE or SAR that had it occurred in more serious form might have caused death • In-patient hospitalization • Prolongation of hospitalization • Congenital anomaly/birth defect • Refines the use of medical judgments by either investigator or sponsor

  10. Safety Monitoring Sponsor Evaluate Safety of Drug for subjects Serious, Expectedness, Reasonable Possibility Analysis with other events related to drug use

  11. Review of Safety Information • Get safety information from all sources • Domestic/foreign trials • Foreign data to US: Safe Harbor Requirements • Clinical epidemiology studies • Annual literature review for safety • Animal or in vitro expts. • Report in safety reports • ID all IND safety reports similar in nature previously reported • Notify FDA and all “participating investigators” 15 day reports

  12. SUSARS • For the first time FDA recognizes SUSARs • Three criteria • Suspected adverse reaction • Serious • Unexpected • Expedited IND safety report

  13. Conclusion • Move towards harmonization • FDA will accept CIOMS I forms • Use of SUSAR • Clear definition • Replace “associated with the use of the drug” with “reasonable possibility”

  14. Relationship between AEs and UAPs • The diagram illustrates three key points: • The vast majority of adverse events occurring in human subjects are not unanticipated problems (area A) and do not need to be reported to the IRB. • A small proportion of adverse events are unanticipated problems (area B) and need to be reported to the IRB. • Unanticipated problems include other incidents, experiences, and outcomes that are not adverse events (area C) and need to be reported to the IRB.

More Related