Tag Archives: ICH E16

Drug Regulations, EMEA publishes ICH E16 – Genomic Biomarkers for Drug Responses

Drug Regulators, EMEA, publish ICH guidance on Genomic Biomarkers Related to Drug Response – For Comment

The EMEA has published “ICH Topic E16 Genomic Biomarkers Related to Drug Response: Context, Structure and Format of Qualification Submissions”

Objective of Guideline

The guideline describes recommendations regarding context, structure, and format of regulatory submissions for qualification of genomic biomarkers, as defined in ICH E15. Biomarker qualification has not been covered in any ICH guideline. Qualification is a conclusion that the biomarker data submitted support use of the biomarker in drug discovery, development or post-approval and, where appropriate, in regulatory decision-making. The objective of the guideline is to create a harmonized structure for the qualification of genomic biomarkers that will foster consistency of applications across regions and facilitate joint discussions with and among regulatory authorities.

Background

The use of biomarkers in drug discovery, development and post-approval has the potential to facilitate development of safer and more effective medicines, to guide dose selection and to enhance the benefit-risk profile of approved medicines.

Scope

The scope of this guideline is the context, structure, and format of qualification submissions for clinical and non-clinical genomic biomarkers related to drug response including translational medicine approaches, pharmacokinetics, pharmacodynamics, efficacy and safety aspects. This guideline covers genomic biomarkers used singly or in combination with other genomic biomarkers or in combination with non-genomic biomarkers. It does not cover non-genomic biomarkers; however, it is anticipated that many of the principles described in this document might be applicable to other biomarker categories (e.g., proteomics) and other qualification contexts not associated with drug response.

General Principles

The proposed context of use (hereinafter referred to as “context”) of a genomic biomarker should determine the data supporting its qualification. Therefore, the relevant context should be clearly detailed in the submission package. Reference should be made to the specific use of the genomic biomarker in drug development. The format of the data for qualifying a genomic biomarker can vary significantly depending on the context. It is therefore only possible to provide general guidelines on data format for a genomic biomarker qualification submission.

Structure of Genomic Biomarker Qualification Submissions

Section 1: Regional Administrative Information

This section should contain documents specific to each region, for example, application forms and/or cover letter. The content and format of this section can be specified by the relevant regulatory authorities.

Section 2: Summaries

Introduction:

This section should be concise. It can include a description of the disease and/or experimental setting, the nature of the genomic biomarker (e.g., Single Nucleotide Polymorphisms (SNPs) and Copy Number Variation (CNV)) and provide a rationale for its use in drug discovery, development or post-approval studies.

Context

The elements describing the context for a biomarker should include (i) the general area, (ii) the specific biomarker use, and (iii) the critical parameters which define when and how the biomarker should be used.

  • General Are (including, but not limited to)
    • Non-Clinical
      • Pharmacology
      • Safety and Toxicology
    • Clinical
      • Pharmacology
      • Safety
      • Efficacy
  • Specific Biomarker Use (including, but not limited to)
    • Patient selection
      • Inclusion/Exclusion
      • Trial enrichment or stratification
    • Assessment of mechanism of action
      • Mechanism of drug action
      • Mechanism of therapetuic effect
      • Mechanism of toxicity/adverse reaction
    • Dose optimization
      • No observed effect level (NOEL) in animal models
      • No observed adverse effect level (NOAEL) in animal models
      • Algorithm-based dose determination (qualititative algorithmic dosing)
      • Determination of likley dose range
    • Response Monitoring
      • Monitoring drug safety
      • Monitoring drug efficacy
    • Toxicity/Adverse reactions/Risk minimization
      • Indicating/predicting toxicity/adverse reactions
  • Critical Parameters of Context Description (including, but not limited to)
    • Drug-secofo9c use
    • Disease diagnosis, prognosis, or stage
    • Assay specifications
    • Tissue or physiological.pathological process addressed
    • Species
    • Demographics including ancestry and/or geographic origin
    • Use in clinical trials

A biomarker could have more than one context, including the general area and/or specific use within a single submission (e.g., non-clinical and clinical predictive biomarker(s)).

Non-clinical safety

biomarkers for tox/safety examples given

Clinical Pharmacology/Drug Metabolism

biomarkers for clinical pharmacology/drug metabolism examples given.

Clinical Safety

Biomarker use in clinical safety examples given.

Methodology and results

This section should include a summary of nonclinical or clinical studies, including integrated analysis of the genomic biomarker qualification studies and individual study synopses.

Section 3: Quality

Drug quality and manufacturing data would in general not be included in a biomarker ualification submission independent from an NDA or MAA.

Sections 4: (Nonclinical) and 5 (clinical): Study Reports

In this section, full study reports for biomarker qualification should be provided, and raw data could be made available to the regulatory agency upon request. Information on compliance with Good Laboratory Practices (GLP) or Good Clinical Practices (GCP) can be included in these sections. This guideline suggests that, where appropriate, the study reports can follow relevant ICH guidelines (e.g., E3, M4E, M4S) for their preparation.

If you would like more detail in this area please get in touch with Damien Bové damien.bove@idaconsultants.com

Damien Bové works as a drug development consultant (pharmaceutical or biotechnology) and regulatory consultant, we work with our clients to define a drug development target, define a drug development strategy, define a regulatory strategy or define a commercial strategy. Our clients are generally raising funds or looking to license out their technology and we help them achieve it. If you want to know more don’t hesitate to get in touch.

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Rapid Drug Discovery and Development Facilitated by ICH

ICH Meeting  June 6th to 11th

The International Conference on Harmonisation of Technical Requirements for Registration of Pharmaceuticals for Human use, steering committee and expert working groups met in Yokohama in June (6th to 11th) and a number of highlights are outlined  below. What the ICH agree will shape the regulations to come.

Non-Clinical Safety

A significant milestone was achieved in Yokohama with the finalization of the revision of the M3 Guideline “Non-clinical Safety Studies for the Conduct of Human Clinical Trials and for Marketing Authorizations”. The new M3 Guideline promotes more rapid discovery and development of innovative medicines, by reducing the reliance on animals required in drug development studies. These efforts continue ICH’s commitment to the 3Rs (Reduction, Refinement and Replacement) of animal testing.

Clinical Safety and Efficacy

The ICH Guideline E16 “Genomic Biomarkers Related to Drug Response: Context, Structure and Format of Qualification Submissions” reached Step 2. The guideline provides recommendations on the context, structure and format of regulatory submissions for genomic biomarker qualification in order to facilitate submission and review of biomarker qualification data among regions. Public comments on the ICH Guideline E2F “Developmental Safety Update Reports” have been taken into account and made good progress toward Step 4. The guideline will harmonize the requirements for annual clinical trial reporting to the regulators in the three regions and will provide an additional level of protection for patients in clinical trials.

Quality of Pharmaceuticals

Progress was made on the harmonization of pharmacopoeia texts in the three regions, which will reduce testing requirements for the industry. Two annexes to the Q4B Guideline (Annex 5 on “Disintegration Test” and Annex 8 on “Sterility Test”) reached Step 4 and another two (Annex 9 on “Tablet Friability” and Annex 10 on “PAGE”) reached Step 2. The Quality Implementation Working Group delivered a set of Q&As to answer questions arising from the Q8, Q9, and Q10 Guidelines. Also of note, was a meeting of the Q11 Expert Working Group “Development and Manufacture of Drug Substances,” covering both chemical and biological substances with wider participation from some non-ICH countries. Work on the topic continued to progress.

The next ICH meeting will be held in St. Louis, MO, USA from October 24-29, 2009.

Click Here to Access – ICHM3 Expert Services – Click Here

If you would like more detail in this area please get in touch with Damien Bové damien.bove@idaconsultants.com

Damien Bové works as a drug development consultant (pharmaceutical or biotechnology) and regulatory consultant, we work with our clients to define a drug development target, define a drug development strategy, define a regulatory strategy or define a commercial strategy. Our clients are generally raising funds or looking to license out their technology and we help them achieve it. If you want to know more don’t hesitate to get in touch.

ida consultants freestrategyconsultation 515x64 Rapid Drug Discovery and Development Facilitated by ICH

Grow your Expertise for Free

As you know this website is a great resource for keeping up to date with developments and regulations, why not get our FREE monthly regulatory and market round up. You can un-subscribe at any time and we do not share your details with anybody.

This guideline ap
recombinant vaccines for the prevention and treatment of infectious disease, and provides guidance on quality, non-clinical and clinical aspects.