Clinical Trial Optimization: Making Every Patient Count CAPT E. Dennis Bashaw, Pharm.D. Dir. Division of Clinical Pharmacology-3 Office of Clinical Pharmacology Office of Translational Sciences US Food and Drug Administration Session 905:HOW TO IMPROVE DEVELOPMENT EFFICIENCY AND SAVE CLINICAL RESOURCE
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Clinical Trial Optimization:Making Every Patient Count
CAPT E. Dennis Bashaw, Pharm.D. Dir. Division of Clinical Pharmacology-3
Office of Clinical PharmacologyOffice of Translational Sciences
US Food and Drug Administration
Session 905:HOW TO IMPROVE DEVELOPMENT EFFICIENCY AND SAVE CLINICAL RESOURCE
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• The presentation today should not beconsidered, in whole or in part as beingstatements of policy or recommendationby the US Food and Drug Administration.
• Throughout the talk, representativeexamples of commercial products will bementioned. No commercial endorsementis either implied or intended.
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Outline
• The Cost of Drug Development
• Why Replicate Trials?
• Personalized Medicine
• Maximizing Value-Enrichment Approaches in Clinical Trials
J Health Econ. 2016 May;47:20-33. doi: 10.1016/j.jhealeco.2016.01.012
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Need to Optimize Development is NOT a New Concern
Equivalent to 5.03 Billion Dollars
https://futureboy.us/fsp/dollar.fsp
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WHY REPLICATE TRIALS?
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Definition of “Substantial Evidence”
• Guidance for Industry-Providing Clinical Evidence
of Effectiveness for Human Drugs and Biological
Products
– Congress adopted the 1962 Drug Amendments, Section 505(d) of the Actuses the plural form in defining “substantial evidence” as “adequate andwell- controlled investigations, including clinical investigations.” See alsouse of “investigations” in section 505(b) of the Act, which lists thecontents of a new drug application. which included a provision requiringmanufacturers of drug products to establish a drug’s effectiveness by"substantial evidence." Substantial evidence was defined in section505(d)of the Act as “evidence consisting of adequate and well-controlledinvestigations, including clinical investigations, by experts qualified byscientific training and experience to evaluate the effectiveness of thedrug involved, on the basis of which it could fairly and responsibly beconcluded by such experts that the drug will have the effect it purports oris represented to have under the conditions of use prescribed,recommended, or suggested in the labeling or proposed labelingthereof.”
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The Cost of Research vs Ease of Conduct
High
Low
Single Center Randomized Trials
Low
Single Case
Reports
Cohort Studies
Case-Control Studies
Case Series
HighEase of conduct
Multi-Center Randomized Trials
Cost
This has been the traditional view, but can we develop new paradigms
of drug research to slow this trend (unlikely to reverse costs)
Heterogeneity in Response to Medicines In Clinical Trials
Benefit
Harm
Adapted from presentation by Dr. Barbara Evans, ASCPT Annual Meeting (2010)
Frequency of various responses in the RCT treated population
Neither harm or benefit --Nonresponders(50%)
Mixed Benefit and Harm (30%). Small benefit for most.
Harm Without Benefit (10%)
Large Benefit with little harm (10%)
Magnitude
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Personalized Medicine & Personalized Genomics
• Personalized medicine uses traditional, as well as emergingconcepts of the genetic and environmental basis of disease toindividualize prevention, diagnosis and treatment.
• Personalized genomics builds on principles established by theintegration of genetics into medical practice.
• Principles shared by genetic and genomic aspects of medicine,include the use of variants as markers for diagnosis, prognosis,prevention, as well as targets for treatment.
73% of all NME Approvals Used One or More Designation
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COMMUNICATE, COMMUNICATE, COLLABORATE!
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Why Communicate?
• Based on my 30yr experience in drug development I can saywithout hesitation that early and competent communicationwith a regulatory Agency is key to a proper decision-making.
– Competent in that the questions asked must be based onscience and not “hypothetical”
– Proper decision-making in that sometimes “killing” a drugin development IS the right answer
• The FDA is open to discussion with individual sponsors andconsortia and there are many mechanisms to accomplish that
– InFY2015, FDA received over 3,000 formal PDUFA meetingrequests from sponsors
• From a regulatory standpoint the FDA has identified and hadcodified key time points for meetings with industry.
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Communication: The A, B, C’s
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A-B-C Meetings
• Type A Meeting – is a meeting that is "immediatelynecessary for an otherwise stalled drug developmentprogram to proceed." This type of meeting refers tomeetings to resolve disputes, talk about clinical holds,special protocol assessments.
• Type B Meeting – these are listed as (1) pre-IND meetings,(2) certain end of Phase I meetings, (3) end of Phase 2/pre-Phase 3 meetings and (4) pre-NDA/BLA meetings.
• Type C Meeting – can you guess? Yes, a Type C meeting isany other kind of meeting.– This includes “Discipline specific meetings” when you only have
issues for one review discipline such as Chemistry or ClinicalPharmacology and the other review disciplines are not required
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Clinical Pharmacology Advice on the Development of Personalized Medicines
• AD, assay development; BCS, biospecimen collection/storage; DA, data analysis; ED, exposure/dosing; FDA, US Food and Drug Administration; IND, investigational new drug application; PS, patient selection; Saf, safety; TD, trial design.
Regulatory ScienceScience of developing new tools,standards, and approaches to assess thesafety, efficacy, quality, and performanceof FDA- regulated products
VisionFDA will advance regulatory science tospeed innovation, improve regulatorydecision- making, and get products topeople in need. 21st Century regulatoryscience will be a driving force as FDAworks with diverse partners to protectand promote the health of our nation andthe global community
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2. Stimulate Innovation in Clinical Evaluations & Personalized
Medicine to Improve Product Development and Patient Outcomes
4. Ensure FDA Readiness to Evaluate Innovative Emerging
Technologies
6. Implement a New Prevention-Focused food Safety System to
Protect Public Health
5. Harness Diverse Data Through Information Sciences to Improve
Health Outcomes
7. Facilitate Development of medical Countermeasures to Protect
Against Threats to U.S. and Global Health and Security
8. Strengthen Social and Behavorial Science to Help Consumers
and Professionals Make Informed Decisions about Regulated
Products
1. Modernize Toxicology to Enhance Product
Safety
3. Support New Approaches to Improve Product Manufacturing
and Quality
Science Priority Areas
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Partnership Matrix
Ramsey BW et al. N Engl J Med 2017;376:1762-1769
Partnership roles vary formany reasons includingthe state of knowledge ofthe disease, the existenceof biomarkers, and thedevelopment of matureacademic research centersfor a particular disease.
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CONCLUSIONS AND CLOSING THOUGHTS
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The Future
• It is easy to say that we are on the edge of a revolution in drug development
– We have ALWAYS been on the EDGE!
– Only the tools and our perspective of them have changed
• Patient factors are being recognized more and more as the key to individualizing not only drug therapy but expectations of therapy.
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Missing Patients
• Clinical trials still have an underrepresentation of all affected populations
• Genetic, social, patient care, and drug delivery factors are often missed with serious consequences
• It was only 24yrs ago that the FDA started requiring the enrollment of women in clinical trials.
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Linkage of Patient Factors to PK and PD
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Communicating the Future
• As new advances are made, they must be reflected both in regulatory policy and in patient care
• While we rightly focus on the population, we must not lose sight of the individual patient and the individual physician, nurse, and pharmacist as well
• Clinical Pharmacology can help identify populations and broaden patient utility and safety
• Only by selecting the right biomarkers and identifying the proper dose for the patient population can we make “every patient count” as every patient is a teaching opportunity for us
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Collaborative Efforts to Strengthen Regulatory Science
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Combining the Workstreams
Biomarker SelectionUtilize in vitro and in
vivo systems to probe
and qualify biomarkers
PBPK ModelingBuild models based on
observed knowledge with a
“learn and confirm” strategy.
Classical PK/PDSynthesize the
available PK/PD data
on Drug Metabolism
Develop
Actionable
InformationInformed labeling for the
prescriber
PharmacogenomicsUtilize in vitro systems
to identify relevant
genetic factors to
enhance patient safety
and selection
Patient SelectionUnderstand the pathology
of the disease to select
the needed diversity in the
affected population
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Concluding Thought
“If I had five minutes to
chop down a tree, I’d spend
the first three minutes
sharpening my axe.”
Abraham Lincoln
Rigorous preparation is the key to success
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Contact Information
CAPT Edward D. Bashaw, PharmD.Director, Div. of Clinical Pharmacology-3US FDA10903 New Hampshire AveBuilding 51, Rm [email protected]
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Acknowledgements
• The Staff of the Division of Clinical Pharmacology-3