Researchers in low-risk clinical trials could experiment on patients without obtaining informed consent if they meet at least four conditions, the FDA proposed last week in a new rulemaking notice.
The agency will grant waivers if researchers can prove:
The proposed rules firm up a 2017 guidance that laid out the same conditions for informed consent waivers and conform to the Common Rule.
David Borasky, vice president of IRB compliance at the WIRB-Copernicus Group, welcomed the draft guidance, noting the new rules will help sponsors embrace modern technologies for clinical trials. He added that many IRBs are already using waivers under last year’s guidance.
“As the FDA continues to express an interest in having sponsors utilize retrospective real-world evidence to inform the regulation of drugs and devices, there will be a greater and greater need for mechanisms to allow activities like retrospective chart reviews — which can involve human subject research — to go forward under a waiver of informed consent,” Borasky tells CenterWatch.
But he questioned why the FDA pegged its new rules to the old Common Rule. A revised Common Rule is scheduled to take effect early next year and offer another reason for informed consent waivers.
“It is not clear from the proposal why the FDA would harmonize to a rule that will be out of date within a few months,” Borasky says.
“The FDA has asked for comments on this, and I suspect that they will receive a lot of comments encouraging complete harmonization with the revised rule,” he adds. “Harmonizing to an outdated rule does not make sense in the big picture, even if the regulated community lacks experience implementing the new waiver criterion.”
Read the agency’s rulemaking notice here: https://bit.ly/2OSPGHq.
FDA Considers Endpoints for Rare, Deadly Prostate Cancer
The FDA has issued new draft guidance for clinical trials aimed at a rare but aggressive form of prostate cancer.
A very small percentage of men develop nonmestastatic, castration-resistant prostate cancer, defined by rising levels of prostate-specific antigens even after testosterone levels have been reduced. The disease can take years to run its course, which has made it difficult for sponsors to use overall survival rates — a common measure in cancer trials — as an endpoint.
The major concern is that by the time related tumors crop up, the deadly disease progresses rapidly. For years, sponsors, researchers and other experts have urged the FDA to consider metastasis-free survival a primary endpoint for trials aimed at the rare cancer. The agency now says it’s open to doing so but wants to be sure researchers carefully map out their plans.
Toward that end, it recommends sponsors:
The draft guidance, issued last week, also suggests that sponsors avoid interim efficacy analyses — “because it may lead to over- or underestimation” of a treatment’s impact.
Even though overall survival probably won’t count as a primary endpoint, the FDA urges sponsors to conduct a formal interim analysis of overall survival, and “expects continued follow-up for final” overall survival even after a trial concludes.
Read the FDA’s draft guidance here: https://bit.ly/2zbjnyG.
App Gets to Heart of the Matter
A smart phone app appears to be just as effective at diagnosing severe heart attacks as traditional electrocardiograms.
Researchers enrolled 204 patients in clinical trials at five sites to test the AliveCor app. Patients were connected to AliveCor, which is administered by a smart phone and has two wires, and two traditional, 12-lead ECGs.
“We found the app helped us diagnose heart attacks very effectively—and it didn’t indicate the presence of a heart attack when one wasn’t occurring,” lead researcher J. Brent Muhlestein of the Intermountain Medical Center Heart Institute in Salt Lake City, Utah, said in announcing his team’s findings.
Stanford researchers are currently testing a heart monitor offered by Apple Watch on some 400,000 patients — the largest clinical trial of its kind.
Lab Owner Nabbed in Trial Scam
Federal officials have indicted a laboratory owner on charges that he bilked drug sponsors in an opioid clinical trial.
Sami Anwar, of Richland, Wash., and two of his companies — Mid Columbia Research and Zain Research — face 47 separate felony counts, including wire and mail fraud, fraudulently obtaining controlled substances and lying to federal agents, in what authorities allege was a scheme to pocket fees for a phony clinical trial supposedly trying to find non-opioid pain treatments.
Anwar and his staff are accused of enrolling ineligible participants in the trial, forging doctors’ signatures and faking records to make it seem like patients were participating in the trial and taking the experimental drug.
The sham trial netted in excess of $250,000 from the unnamed drug sponsor, federal authorities allege in charging documents.
Anwar has denied wrongdoing. He’s facing up to 20 years in prison and $250,000 in fines, federal authorities say.
EMA Issues Guidance on Safety Monitoring for Pediatric Drugs
The European Medicines Agency (EMA) has released new guidance calling for sponsors of pediatric drugs to step up monitoring of adverse effects.
It’s important to track effects of medicine in pediatric patients because clinical trials are usually limited in their size and duration, and adverse reactions can differ a lot more in kids than in adults, the EMA says. The final guideline — chapter IV of the agency’s good pharmacovigilance practices (GVP) — applies to approved drugs with pediatric indications and drugs used off-label for treating children ages 2 to 11.
The EMA notes that growth and maturation factors in pediatric patients — such as immature organ systems, physiological changes in growth and development, and changes in body mass and composition — mean that they respond substantially differently than adults to adverse events. Because of this, considerations for long-term follow up should carefully weigh these factors.
Findings from adult clinical trials should be used to identify potential risks, characterize the safety profile and determine tools for reducing risk in the pediatric population. But sponsors should also consider the effect of meds on bone and cartilage during active growth; potential adverse reactions from different exposure to metabolites compared to adults; and the long-term effect on developing reproductive and neurodevelopmental systems, the guidance says.
The EMA recommends info sponsors should include in adverse reports, too, such as dosage data, indication or intended use, and the patient’s accurate age, weight and height/length at the time of reaction.
Read the full guidance here: https://bit.ly/2zPqH2k.
FDA Panel Weighs In on Trials of Novel Non-Opioids
An FDA advisory panel nixed clinical trials for opioid substitutes without active comparators and a looser definition of “opioid-sparing.”
The Anesthetic and Analgesic Drug Products Advisory Committee voted 12-1 that trials for novel non-opioids should involve an active comparator design so the FDA can determine if tested drugs provide a significant clinical benefit over currently available meds.
“I would want to see what’s out there in the market,” said patient representative James O’Brien, president and CEO of the National Scoliosis Foundation, endorsing trials conducted against active comparators.
The sole “yes” vote, Mary Ellen McCann of Harvard Medical School, said she wouldn’t necessarily design a trial without an active comparator but could see such a study gleaning useful information.
The committee, by an 11-1 margin, also rejected defining a drug as “opioid-sparing” simply because it leads to a decrease in opioid use.
Members expressed doubt the term was appropriate as a broad claim without context for the drug’s benefit-risk profile or consideration for the population, setting and variability in practice — and worried it could confuse consumers. They said seeking the broader opioid-sparing definition might introduce perverse incentives into clinical trial design such as withholding standard approaches to analgesia.
“I don’t think any line of evidence would support a broad labeling of a drug as opioid-sparing,” said temporary member James Floyd, an assistant professor of medicine and epidemiology at the University of Washington. Abby Shoben, an associate professor in the division of biostatistics at the Ohio State University’s College of Public Health, also voted “no,” saying she would prefer a definition incorporating more meaningful clinical outcomes, such as reduction in the number of pills dispenses.
For the purposes of the advisory committee, the FDA defined opioid-sparing drugs as drugs or combinations of drugs that contain no opioids that, when used with opioid analgesics, reduce opioid analgesic use. Opioid-sparing drugs are distinct from novel non-opioid drugs, which are meds or med combos that can be substituted outright for an opioid analgesic.