Advance Topics in Pharmacoepidemiology. Risk Management. Conflict of Interest Declaration. Benefit Harm Profile?

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Advance Topics in Pharmacoepidemiology Risk Management 2012 Mid-Year ISPE Meeting Miami, April 21-23, 2012 Ariel E., Arias MD, PhD - Fac. Pharmacy; Université de Montréal - Biologics & Genetic Therapies Directorate, Health Canada Conflict of Interest Declaration The opinions expressed in this presentation are those of the presenter and do not necessarily reflect those of the Université de Montréal or the Government of Canada. No other conflict of interest to declare. Benefit Harm Profile? RISK HARM Major Conditional? Max? Acceptable? Minor Excellent Balance Min BENEFIT Minor Major BENEFIT Risk Management

Rationale for Risk Management & Miminisation 130 pharmaceuticals removed over last 4 decades (Tsinitis et al. Drug Safety 2004; 27:509) ⅓ within 2 years of marketing ½ within 5 years of marketing Authorization based on specified indication at time of filing (punctual and limited benefit/risk assessment) Failure of product labeling and risk communications to resolve new risk issues (e.g., Cisapride, Baycol, Vioxx) Modern pharmacovigilance: Proactive and starting earlier Philosophical change: Demonstrating safety rather than looking for harm 4 Risk Management - Definition a set of pharmacovigilance activities and interventions designed to identify, characterise, prevent or minimise risks relating to medicinal products, including the assessment of the effectiveness of those interventions S Blackburn, ICPE 2011 is an iterative process of (1) assessing a product s risk-benefit balance; (2) developing and implementing tools to minimize its risks while preserving its benefits; (3) evaluating tool effectiveness and reassessing the risk-benefit balance; and (4) making adjustments, as appropriate, to the risk minimization tools to further improve the risk-benefit balance. Together, risk assessment and risk minimization form what the FDA calls risk management. Risk Minimisation Activities (RMA) Public health interventions intended to prevent or reduce the probability of the occurrence of ADRs associated with the exposure to a medicine, or to reduce their severity should they occur. The aim of a risk minimisation activity is to reduce the probability or severity of an adverse reaction. These activities may consist of routine risk minimisation (e.g., product labelling) or additional risk minimisation activities (e.g., professional or patient communications/educational materials). Appendix A in PBRER Draft Guideline ICH E2C (2012) 6

Risk / Benefit Assessment Evidence Based Process Risk Management (RMP / REMS) Tools Development & Implementation Evaluate & Re-evaluate Adapted from E.B. Andrews ICPE 2010 PHARMACOVIGILANCE PLANNING ICH E2E & PERIODIC BENEFIT-RISK EVALUATION REPORT (PBRER) ICH E2C(R2) 9

When to file a RMP / REMS? Typically With the application for drug licensing for innovative products (new chemical entities) Generics or biosimilar medicinal products for which a risk has been identified for the reference product Significant change to the MA New pharmaceutical form New route of administration New indication/patient population By request from the regulatory authority Structure of the EU-RMP Part I Safety specification Pharmacovigilance plan (PVP) Routine pharmacovigilance activities Additional pharmacovigilance activities ICH E2E Part II Evaluation of the need for RMAs Risk minimisation plan Routine RMAs Additional RMAs including: Objective and rationale Proposed actions Success criteria Proposed review period Safety Specification Drug PD / PK AE profile (class; interactions) Intended use Strength of the evidence Population Included in CT Excluded from CT Risk Factors SAFETY CONCERNS Important Identified Risks Important Potential Risks Important Missing Information Disease Natural history Epidemiology

Pharmacovigilance Plan (PVP) Routine PV activities ADR reporting and follow up Expedited ADR reporting Signal detection Signal assessment PSUR (PBRER) Additional PV activities Active surveillance (e.g. PEM) Enhanced monitoring (e.g. claims DB, e-medical records) Additional studies Observational (Phase IV) e.g. Case-control, Cohort, Record Linkage, Drug Utilisation, etc Clinical Trials Pre-clinical studies Risk minimisation plan Safety Concerns: Prevent or Minimise? Is a risk minimisation plan needed? Routine risk minimization activities Legal status Pack Size SPC (PM) Package leaflet Labelling Additional risk minimization activities Controlled distribution Informed consent/treatment Patient monitoring/screening Pregnancy prevention programme Educational material Registry Special packaging/labels Considerations for the PVP and RMA Safety Specification Safety Concerns? No target AE or subpopulation Routine PV activities? Routine RMAs Potential risk, e.g., target AE or sub-population Additional PV activities Routine RMAs? Identified risk, i.e., target AE or sub-population Additional PV activities Additional RMAs

Key Considerations RMA Evaluation 1)Feasibility Target population Acceptability (by all stakeholders) Transparency (framework for decision-making purposes) 2)Effectiveness Choice of source and type of metric Systematic and continued process of review Frequently done by surveys of MDs, pharmacists, and/or patients, but Various DB and/or other study designs are also available Ultimate goal and metric is product safety RMA Evaluation Some Metrics Selected sources Cognitive testing (educational material) Knowledge and awareness (survey) Distribution tracking Drug utilisation studies Chart reviews Prospective observational studies with real time monitoring (e.g. lab testing & claims DB) Observational studies in well defined populations Before FDAAA Risk Evaluation and Mitigation Strategy, REMS Elements (FDAAA, 2007) Premarketing Risk Assessment Risk Minimization Action Plans (RiskMAPs) REMS can include: Medication guides or patient package inserts Communication plans to health care providers Elements to ensure safe use (ETASU) that may or not be linked to some type of restricted distribution Implementation system REMS must include: Timetable for submission of assessments of REMS.

REMS Elements (1) Medication guides FDA approved patient-friendly labeling May be part or not of the REMS Communication Plan (EU equivalent?) Aim at informing health care providers (not to patients) May include: DHPLs Dissemination through professional societies Information to encourage REMS implementation Implementation is sometimes lead by the FDA (ANDA) REMS Elements (2) Elements to Assure Safe Use (ETASU) May include: Particular training or certification for prescribing Certification or pharmacies, practitioners or health care settings for dispensing (EU equivalent?) Health care settings restrictions for dispensing (EU equivalent?) Evidence of safe-use conditions restrictions for patients (EU equivalent?) Patient monitoring restrictions Mandatory registry enrollment Are not mutually exclusive (considerable overlap) Risk Management Planning Canadian Perspective (1) RMP or REMS? A harmonised risk management context? Their elements are common, but The regulatory context (powers) differs, thus Both, the science and the regulatory oversight are also under active development

Risk Management Planning Canadian Perspective (2) Interim implementation for drugs, biologics and biotech-derived products for human use Request in the EU-RMP format One Canadian content exception: Section 4.5.2.2: Discuss postmarket experience in the Canadian context Accept in other format (i.e.; RiskMAP/REMS) if covers essential elements Guidance rather than regulation Collaboration between pre- and post-market assessment Muchas Gracias! ariel.arias@hc-sc.gc.ca