DescriptionA step-by-step, integrated approach for successful, FDA-approved combination drug products
Using a proven integrated approach to combination drug development, this book guides you step by step through all the preclinical, clinical, and manufacturing stages. Written from an FDA regulatory perspective, the book not only enables you to bring a successful combination drug product to market, it also sets forth the most efficient and effective path to FDA approval.
The book begins with an introductory chapter presenting definitions and basic regulatory principles of combination products. Next, it reviews manufacturing and controls, preclinical testing models, pharmacology, clinical testing, regulatory submissions, FDA reviews, and approvals. Among the key topics examined are:
* The pharmacology, safety pharmacology, and toxicology supporting human clinical trials of combination products
* Approaches to clinical trial protocol design and execution
* Chemical, physicochemical, and analytical aspects of manufacturing controls and validation that lead to stable components for combination products
* Key sponsor/FDA meetings and negotiations essential for approval and commercialization
Case studies involving such actual combination products as Mylotarg, Herceptin, and HercepTest help you better understand how to implement the author's practical guidelines. References at the end of each chapter enable you to find more information on any stage of the development, manufacturing and approval processes.
This book is ideal for researchers, regulators, academics, project managers, and executives involved in the complex process of combination product development. Not only does itoffer a comprehensive guide to the technical aspects of the field, it also integrates all ofthese technical aspects into a unified, effective approach to help ensure a successful, approved product.
1 OVERVIEW OF COMBINATION PRODUCTS DEVELOPMENT AND REGULATORY REVIEW (Evan B. Siegel).
2 DETAILED REGULATORY APPROACHES TO DEVELOPMENT, REVIEW, AND APPROVAL (James Barquest).
2.2 General Background.
2.2.2 FDA Organization and Jurisdiction.
2.2.3 Clinical Investigation and Premarket Review Requirements for Drugs, Biological Products, and Medical Devices.
2.2.4 FDA Information Resources.
2.3 Combination Products: Regulatory Background .
2.3.2 Intercenter Agreements.
2.3.3 Office of Combination Products.
2.3.4 Primary Mode of Action.
2.3.5 Intended Use.
2.3.6 Strategic Regulatory Considerations.
2.3.7 The Request for Designation (RFD) Process.
2.3.8 User Fees.
2.3.9 FDA Meetings: Successful Regulatory Interactions.
2.3.10 Current Good Manufacturing Practice for Combination Products.
2.4 Postmarketing Considerations.
2.4.1 Adverse Event Reporting.
126.96.36.199 Device Malfunction Reporting (21 CFR 803.3(r)(2)(ii), 21 CFR 803.20).
188.8.131.52 Five-Day MDR Reporting (21 CFR 803.10(c)(2)(i)).
184.108.40.206 Drug and Biological Product “Alert” Reporting (21 CFR 314.80(c)(1) and 600.80(c)(1)).
220.127.116.11 Blood-Related Deaths (21 CFR 606.170).
2.4.2 Other Compliance Issues.
3 NONCLINICAL RECOMMENDATIONS FOR SUCCESSFUL CHARACTERIZATION AND DEVELOPMENT OF COMBINATION DRUG PRODUCTS (Duane B. Lakings).
3.2.1 Pharmacology and Safety Pharmacology Recommendations for CDPs with Multiple Marketed Drugs.
3.2.2 Pharmacology and Safety Pharmacology Recommendations for CDPs with Marketed Drugs and a Single NME.
3.2.3 Pharmacology and Safety Pharmacology Recommendations for CDPs with More Than One NME.
3.3.1 Pharmacokinetic and Drug Metabolism Recommendations for CDPs with Multiple Marketed Drugs.
3.3.2 Pharmacokinetic and Drug Metabolism Recommendations for CDPs with Marketed Drugs and a Single NME .
3.3.3 Pharmacokinetic and Drug Metabolism Recommendations for CDPs with More Than One NME.
3.4.1 Toxicology Recommendations for CDPs with Multiple Marketed Drugs.
3.4.2 Toxicology Recommendations for CDPs with Marketed Drugs and a Single NME.
3.4.3 Toxicology Recommendations for CDPs with More Than One NME.
4 CLINICAL PHARMACOLOGY AND CLINICAL DEVELOPMENT OF COMBINATION PRODUCTS (Chaline Brown).
4.2 Postapproval Clinical Safety Reporting.
4.3 Clinical Development of Drug–Delivery System Combination Products.
4.3.1 Advantages of a New Delivery Device Drug Product.
18.104.22.168 Streamlined Regulatory Process Possible.
22.214.171.124 Improvement in Efficacy over Previously Approved Delivery Routes.
126.96.36.199 Noninjection Bioavailability for Peptides and Proteins.
4.3.2 Considerations for a Combination Product with a Novel Delivery Route.
188.8.131.52 Impact of Infusion Pumps on Pharmacodynamic Effects.
184.108.40.206 Route-Dependent Pharmaceutical Metabolic Profile.
220.127.116.11 Inherent Delivery Site Sensitivity.
18.104.22.168 Addressing Concerns Regarding the Safety of Excipients in Novel Routes of Delivery.
22.214.171.124 Addressing Concerns of Possible Immune System Reactions During Development.
126.96.36.199 Addressing Effects Specific to Human Physiology During Development.
188.8.131.52 Addressing Formulation Changes During Clinical Development.
4.3.3 Case Study: Exuberaw (Pfizer’s inhaled insulin, approved January 2006).
4.4 Clinical Development of Drug–Active Device Combination Products.
4.4.1 Case Study: The Drug-Eluting Stent (DES).
4.4.2 Changing Scene for New DES Products.
4.5 Clinical Development of Co-Packaged Combination Products.
4.5.1 Co-Packaged Drug and Biologic Case Study: Interferon and Ribavirin for the Treatment of Hepatitis C.
4.6 Clinical Development of Drug–In Vitro Diagnostic Combination Products.
4.6.1 Retrospective Changes in Drug Labeling to Incorporate Genetic Tests.
4.6.2 Prospective Co-Development of Drugs and In Vitro Diagnostics.
4.6.3 Issues Surrounding Biomarker Development.
4.6.4 Clinical Trial Design Issues in Drug–In Vitro Diagnostic Co-Development.
4.6.5 FDA Guidance.
4.6.6 Case Study: Herceptinw and HercepTest®.
4.7 Clinical Development of Drug–Biologic Combination Products.
4.7.1 Case Study 1: Mylotarg® (Monoclonal Antibody Linked to a Cytotoxic Drug).
4.7.2 Case Study 2: Bexxarw (Monoclonal Antibody Linked to a Radioisotope).
4.8 Clinical Development of Drug–Drug Combinations.
4.8.1 General Considerations for FDC Efficacy Studies.
4.8.2 Case Study: CombinatoRx, with Combination Therapy as a Business Model.
5 REGULATORY STRATEGY CONSIDERATIONS FOR CHEMISTRY, MANUFACTURING, AND CONTROLS: AN INTEGRATED APPROACH (Patrick L. DeVillier).
5.2 Office of Combination Products (OCP) and Request for Designation (RFD).
5.3 Extent of Regulatory Oversight.
5.4 Investigational Device Exemption and Investigational New Drug Exemption.
5.5 Regulatory Compliant Product Development.
5.6 Chemistry, Manufacturing, and Controls Review Requirements.
5.7 Drug Component Requirements.
5.8 Device Component Requirements.
5.9 Sterilization Considerations.
5.10 Stability Considerations.
5.11 Bench Testing and Early Development Considerations.
5.12 CDP Regulatory Cross-Mapping Guidance and Recommendations.
List of Abbreviations.