patients • quality • value • sustainability • partnership A Global View of Biosimilar Medicines EU Experience (Part I) The 2016 GPhA Biosimilars Council Conference 7-8 September 2016, Bethesda Suzette Kox Senior Director International – Biosimilar Medicines Group Chair IGBA Biosimilars Committee
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patients • quality • value • sustainability • partnership
A Global View of Biosimilar Medicines
EU Experience (Part I)
The 2016 GPhA Biosimilars Council Conference 7-8 September 2016, Bethesda
Suzette Kox Senior Director International – Biosimilar Medicines Group
Chair IGBA Biosimilars Committee
COM
PAN
IES Biosimilar Medicines Group
Medicines for Europe Sector Group AS
SOCI
ATIO
NS
patients • quality • value • sustainability • partnership
PARTNERSHIP
Vision 2020 - Our 5 pillars
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PATIENTS M
edic
ines
for
Euro
pe V
ISIO
N
QUALITY
VALUE
SUSTAINABILITY
patients • quality • value • sustainability • partnership
Outline
• Setting the US/EU scene and biosimilars potential • The European experience
EU5+US Sales of Key Biologics Scheduled to Lose Patent Protection in 2015-2020
8 Delivering on the Potential of Biosimilar Medicines: The Role of Functioning Competitive Markets
If no competition, cumulative spending in the EU5 and the US is expected to reach $275 billion over the period 2016-2020
Notes: Addressable market is calculated based on projected growth of originator market without biosimiliar entry. Growth rate is based on historical growth and analogue analysis.
Source: IMS Health, MIDAS, IMS Health Market Prognosis, IMS Institute for Healthcare Informatics, Dec 2015
The Addressable Biosimilar Medicines Market in the EU5 and the US, 2016-2020
9 Delivering on the Potential of Biosimilar Medicines: The Role of Functioning Competitive Markets
The cumulative savings over the next five years in the EU5 and the US combined could range from $55 billion to as much as $109 billion
Notes: Savings potential in EU5+US biosimilar accessible market dependent on change in price per treatment day. The accessible market analysis is based on Adalimumab, Insulin glargine, Etanercept, Infliximiab, Rituximab, Peg-filgrastim, Trastuzumab and Follitropin alpha. Savings potential in biosimilar accessible market at different price levels is calculated based on extrapolated size of the originator market between 2016 and 2020 based on historic CAGR and analogues. Accumulation of savings potential between 2016-2020 is shown
patients • quality • value • sustainability • partnership
EU scientific®ulatory framework ensures safe introduction and use of biosimilars
• Definition • version of the active substance of the reference product (RP) • comprehensive comparability exercise with the RP
• Same INN naming than RP
• RP label (less indications possible), product identified as biosimilar
• Extrapolation of indications • case-by-case, i.e. not automatic • based on the clinical experience with the RP and the entire similarity exercise i.e.
totality of evidence
• Risk Management Plan systematic; new PharmacoVigilance Module for biologics
• Identification and traceability: brand name + batch number
patients • quality • value • sustainability • partnership
Consistent with biologics’ manufacturing changes: versions of same active; INN and label unchanged;
extrapolation applied
Vezér B, Buzás Zs, Sebeszta M, Zrubka Z.: Authorized manufacturing changes for therapeutic monoclonal antibodies (mAbs) in European Public Assessment Report (EPAR) documents. Curr Med Res Opin. 2016 May;32(5):829-34
433 manufacturing changes of 32 originator mAbs authorized by EMA (1998 -10/2014)
patients • quality • value • sustainability • partnership
Identification of active substances is ensured
• The INN (International Nonproprietary Name) has always been the name for the active substance and was never intended to identify products on its own
• INNs should be granted on considerations of molecular characteristics and pharmacological class
• Comparability concept should be followed in order to ensure correct application of INN system
• No distinctive INN designation (connected or unconnected suffix) should be introduced to indicate a biosimilar product
• This approach is being successfully applied in Europe
patients • quality • value • sustainability • partnership
Identification of medicinal products is also ensured
• Invented/Trade names identify products, and where unique product name is not mandatory, INN + corporate name allows clear identification • both options enshrined in EU legislation and a model for the world
• ISO IDMP (IDentification of Medicinal Products) standards have been developed and published in 2012 to establish a lasting international framework which allows exchange of medicinal product information in a robust and reliable manner and which supports interoperability across regulatory and healthcare communities • 10 years of intense work and international collaboration and rolled out now in the EU and
the US • unique identification of active substances part of ISO IDMP
patients • quality • value • sustainability • partnership
WHO naming policy is confusing
• Proposed non memorable WHO BQ (Biological Qualifier) is • not necessary, • confusing • not developed according to ISO standards and hence not interoperable • is endangering the valuable INN system
• Resolution WHA46.19 on nonproprietary names for pharmaceutical substances requests Member States to “enact rules or regulations [...] to encourage manufacturers to rely on their corporate name and the international nonproprietary names [...] to promote and market multisource products introduced after the expiry of a patent“ • WHO INN guidance: http://www.who.int/medicines/services/inn/innguidance/en/
patients • quality • value • sustainability • partnership
Uptake of biosimilar medicines varies by country and therapeutic area-Q1 2016
Source: IMS Health MIDAS Database Q1 2016
Biosimilar penetration of accessible markets
Some IMS Observations IMS report for the European Commission (data 2015)
Per Troein/VP Strategic Partners, IMS Health
IMS Health Biosimilar breif
Observation one: Competition drives down the price Prices before discounts and rebates
The increased competition affects not just the price for the directly comparable products but also the price of the
whole product class
IMS Health Biosimilar breif
Observation two: The correlation between biosimilars’ market share and price reduction is weak
• High savings can be achieved even if the share of biosimilars is low.
• Reduction can be achieved through price regulation and/or commercial decisions
• Biosimilar product s are likely an essential step to generate a competitive environment, which leads to price reduction
IMS Health Biosimilar breif
Observation three: Competition can also influence the originator’s behaviour
• Originators launching innovative long-acting/pegylated products without a price premium versus the short-acting, changing the treatment paradigm and therefore usage pattern
• Originators effectively reducing the price levels
• Originator companies are looking to launch biosimilar products
Insert Sweden
IMS Health Biosimilar breif
Observation four: Lower prices has the most impact on usage in countries with low initial usage
In countries which used to have low usage/availability in the classes the
price reductions seem to have a significant impact on the increased access.
2015
Biosimilar Medicines Group’s Observations
patients • quality • value • sustainability • partnership
Biosimilar medicines – opportunity to meed unmet medical needs
In some European countries, patients have less access to biological treatments for Rheumatoid Arthritis (RA)
No indication of safety issue resulting from switching between products No signal of switch-related adverse effects No data that switching induces increased immunogenicity
33 Ebbers et al. The safety of switching between therapeutic proteins. Expert Opinion on Biological Therapy 2012:12(11);1473-1485
patients • quality • value • sustainability • partnership
Interchangeability under medical supervision supported by national authorities
• Medicines Evaluation Board – MEB (The Netherlands)1: Exchange between biological medicines (regardless of whether they are innovator
products or biosimilar medicinal products) is permitted, but only if adequate clinical monitoring is performed and the patient is properly informed.
• Finnish Medicines Agency – Fimea (Finland)2: Biosimilar medicines are interchangeable with their reference products under the
supervision of a health care person.
• Paul Ehrlich Institute – PEI (Germany)3: Biosimilars can be used in the same way as the reference products to which they have
shown equivalence. This implicitly covers both patients who have not yet received biological therapy as well as patients who previously received the originator molecule.
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1 Are biosimilar medicines interchangeable? MEB position (2015). 2 Interchangeability of biosimilars – Position of Finnish Medicines Agency Fimea (22/2/2015). 3 Position of Paul-Ehrlich-Institute on interchangeability of biosimilar medicines (2015).
• P&MA policies should ensure a continuous market participation of several biosimilar manufacturers in order to maintain healthy competition • Example DE: Pharmadialog (agreement between industry and payers/policy makers)
• P&MA policies enforcing lower biosimilar prices compared to their originators have to be accompanied by specific guidance on biosimilar use and prescribing incentives. A lower price for biosimilars on its own will prevent generation of return on investments for biosimilar manufacturers
• A P&MA policy that does not allow for commercial attractiveness for biosimilar manufacturers will reduce competition in the long run and thus negatively impact the likelihood for payers to generate savings
• Gain sharing has proven to be a successful driver of biosimilar uptake across multiple markets, with benefits for both prescribers / decision makers and payers • Gain sharing is most effective in case the healthcare provider sees tangible benefits from
generated savings (additional services for patients, improved working conditions, monetary benefits, etc.)
patients • quality • value • sustainability • partnership