Hogan & Hartson L.L.P. \\\71717/0300 1545901.v1 Slide 1 FDA Public Meeting David M. Fox Hogan & Hartson LLP (202) 637-5678 Regulation of.

Slides:



Advertisements
Similar presentations
Regulatory Pathway for Platform Technologies
Advertisements

Part 15 Public Hearing FDA Regulation of Combination Products November 25, 2002 Rockville, MD Michael Gross, Ph.D., RAC Vice-President Worldwide Compliance.
"Determining the Regulatory Pathway to Market" Classification Heather S. Rosecrans Director, 510(k) Staff Office of Device Evaluation Center for Devices.
Introduction to Uniform Guidance Presented to Engineering Research Network – Nov 19, 2014 by Sponsored Programs Accounting.
Public Health Issues Related to Mutually Conforming Labeling: CDRH Perspective Miriam C. Provost, Ph.D. Office of Device Evaluation Center for Devices.
Jurisdictional Decision Support Tool Mark Hamblin Carnegie Mellon University.
What options do states have? What is Georgia planning to do? What are some of the other states doing? What are the possible implications to permit fees?
What’s the STANDARD OF REVIEW Got To Do With It?.
Pharmaceutical Development and Review Process Rev. 10/21/2014 APGO Interaction with Industry: A Medical Student Guide.
Medical Devices Approval Process
1 Law is a system of known rules applied by a judge is a pretence long under attack. In an important sense legal rules are never clear, if it had to be.
Cross-Labeling: Legal and Regulatory Issues David M. Fox Hogan & Hartson LLP th Street, NW Washington, DC
CDRH Software Regulation
CBER Managed Review Process Sheryl A. Kochman Deputy Director, DBA, OBRR, CBER September 15, 2009.
The FDA Landscape AdvaMed September 2008 Judith K. Meritz
Classification of HLA Devices FDA Introduction & Background Sheryl A. Kochman CBER/OBRR/DBA.
Food and Drug Administration Center for Biologics Evaluation and Research The Office of Cellular, Tissue and Gene Therapies Web Seminar Series presents:
Radiological Devices Advisory Committee Meeting November 18, 2009 John A. DeLucia iCAD, Inc.
FDA Recalls Risk Communication Advisory Committee David K. Elder Director, Office of Enforcement.
Office of Combination Products: Current Initiatives
The Medical Device Pathway as a Legal Onramp for Futuristic Persons THE FUTURE T HE M EDICAL D EVICE P ATHWAY AS A L EGAL.
Industry Perspective on Challenges for Product Developers - Drugs Christine Allison, M.S., RAC Associate Regulatory Consultant, Global Regulatory Affairs.
1 Importation of Medical Devices FDA Chicago District O’Hare Import Resident Post August 26, 2010 Import Entry Review Team Tamara M. Qtami, CSO.
KEYS TO SUCCESS NCURA Region IV Spring Meeting April 27 – 30, 2014 © 2014 National Council of University Research Administrators Cost Principles: It Depends!
Cost Principles – 2 CFR Part 200 Subpart E U.S. Department of Education.
Investigational New Drug Application (IND)
When do I need an IND ? FDA Guidance for Industry – Investigation New Drug Applications (INDs) - Determining Whether Human Research Studies Can Be Conducted.
Internal Control in a Financial Statement Audit
Compliance with FDA Regulations: Collecting, Transmitting and Managing Clinical Information Dan C Pettus Senior Vice President iMetrikus, Inc.
UNCLASSIFIED10/12/ :41 AM Slide 1 Division of Regulated Activities and Compliance.
March 28, 2006 Combination Products: Preparing for the Journey March 28, 2006 Pamela J. Weagraff Principal Consultant.
1 Cross Labeling Combination Products Bradley Merrill Thompson, MBA, JD, RAC Epstein Becker & Green PC.
“513(g)s” Requests for Information Lawrence “Jake” Romanell, RM (AAM) Office of Device Evaluation Center for Devices and Radiological Health.
1 Combination Products: Jurisdictional Issues MassMEDIC Presentation March 28, 2006 Janice Hogan, Esq. Partner Hogan & Hartson, LLP
Legal Considerations in Cross Labeling Policy Nancy Stade Assoc. Chief Counsel, Devices FDA/DIA Combination Products and Mutually Conforming Labeling Workshop.
Federal Flexibility Initiative and Schoolwide Programs.
FDLI Introduction to Medical Device Law and Regulation Other Postmarket Controls Philip Katz (202) October 29, 2002 Washington,
Public Hearing FDA Regulation of Combination Products November 25, 2002 Risk Classification of Combination Products (Biologic/Device) Zorina Pitkin, Ph.D.
Copyright © 2006 by The McGraw-Hill Companies, Inc. All rights reserved. McGraw-Hill/Irwin 6-1 Chapter Six Internal Control in a Financial Statement Audit.
REGULATION OF COMBINATION PRODUCTS Mark A. Heller Wilmer Cutler Pickering Hale and Dorr LLP MassMEDIC Combination Product Program, March 28, 2006.
Regulatory and Legal Challenges for Developers of Drug Delivery Devices Public Workshop: Innovative Systems for Delivery of Drugs.
Investigational Devices and Humanitarian Use Devices June 2007.
FDA job description  Regulates about 25% of all consumer purchases  Mission summary: protect and advance public health  Products: food, cosmetics, drugs,
Human Subjects Protection Program Office of Research Compliance Navigating through the current HSPP and IRB Presented by: Danielle Griffin, M.S. Research.
GU Advisory Panel Meeting Nocturnal Home Hemodialysis Draft Carolyn Y. Neuland, Ph.D. Chief, Gastroenterology and Renal Devices Branch Division of Reproductive,
Federal Flexibility Initiative and Schoolwide Programs.
TDOT MODEL APPROVAL POLICY. DRAFT POLICY  TDOT MPO MODEL APPROVAL POLICY.
COPYRIGHT ALL RIGHTS RESERVED. LEGAL DISCLOSURE. November 25, 2002 PRESENTATION TO: Public Hearing: FDA Regulation of Combination Products November.
© 2009 Hogan & Hartson LLP. All rights reserved. Toward Closer Cooperation in the New Decade? FDA Issues Martin J. Hahn Hogan & Hartson, L.L.P. NABCA 17.
European Diagnostic Manufacturers Association EQA contribution and industry expectations Dr. Claude GIROUD – Chairman Standardization, Quality & Risk Management.
McGraw-Hill/Irwin © The McGraw-Hill Companies 2010 Internal Control in a Financial Statement Audit Chapter Six.
FDA DRUG APPROVAL FDA’s Lengthy Drug Approval Process in Twelve Steps Overview of the FDA Drug Approval Process Drug Developed June 13, 2016 | Emilia Varrone.
2Exceed IFF’s ERFA gruppe for combination products Risk Management 15. sept /Ingrid Malmberg.
Executive Director, Registrar Corp
GCP AND MEDICAL DEVICES
Guidance for review of studies involving HCT/Ps and IND Basics
Regulatory Considerations for Coronary Drug Coated Balloons (DCBs)
Premarket Notification 510(k) process
FDA’s IDE Decisions and Communications
How to Put Together an IDE Application
Medical Device Evaluation Division,
Medical Device Regulatory Essentials: An FDA Division of Cardiovascular Devices Perspective Bram Zuckerman, MD, FACC Director, FDA Division of Cardiovascular.
Thurloch O’Criodain Senior Quality Advisor, Novartis
Combination products The paradigm shift
Office of Education Improvement and Innovation
Michael Gross, Ph.D., RAC Vice-President Worldwide Compliance
Linda M. Chatwin, Esq. RAC Business Manager, UL LLC
TRTR Briefing September 2013
The Zyprexa and Bextra Settlements
Nanotechnology: Issues and Future Directions
Presentation transcript:

Hogan & Hartson L.L.P. \\\71717/ v1 Slide 1 FDA Public Meeting David M. Fox Hogan & Hartson LLP (202) Regulation of Combination Products November 25, 2002

Hogan & Hartson L.L.P. \\\71717/ v1 Slide 2 Overview l Classification l Jurisdiction/Assignment l Regulation l Process

Hogan & Hartson L.L.P. \\\71717/ v1 Slide 3 Classification l Single entity F Drug F Device or F Biologic Product l Combination l Sections 563 and 503(g), as amended, clearly recognize “combinations” as a stand-along category

Hogan & Hartson L.L.P. \\\71717/ v1 Slide 4 Classification l The new Office of Combination Products, by statute, has responsibility for F timely and effective reviews F ensuring consistent standards, pre- and post- market, for like products F dispute resolution F periodic reporting l The Office must consult with another office on whether a product is a combination

Hogan & Hartson L.L.P. \\\71717/ v1 Slide 5 Classification: What is a Combination Product? l Statute (503(g)(1)) F Products that constitute a combination of a drug, a device, or a biologic l Regulation (21 CFR 3.2) F A combination exists when two or more articles are l physically or chemically combined l packaged together or l intended to be used together l Guidance

Hogan & Hartson L.L.P. \\\71717/ v1 Slide 6 Combinations l Pre-filled syringes l Albuterol MDIs l Transdermal Patches l Novel delivery (Viadur, Procardia XL) l Laser activated drugs (Visudyne) l Drug coated catheters and stents l Dental polish with drug l Dental barrier with antibiotic l Tobacco products

Hogan & Hartson L.L.P. \\\71717/ v1 Slide 7 Single Entity Products l Gas-filled albumin microspheres l Porcine cells in an implantable membrane l Certain tissue-containing bone pastes l Absorbable collagen/thrombin products l Catheter/filtration system to locally deliver specific drug l Electrotransport systems for use with specific drugs

Hogan & Hartson L.L.P. \\\71717/ v1 Slide 8 Classification l At least 300 RFD precedents (28/yr) l About 1/3 found to be a combination l Retrospective analysis is needed F Identify factors FDA has relied upon F Need to understand agency’s thinking on how it decides whether a product is a “combination product”

Hogan & Hartson L.L.P. \\\71717/ v1 Slide 9 Issues l When does labeling create a combination? l Dosage forms versus delivery systems l Problem of the whole versus the parts F If the whole depends on chemical or metabolic action to achieve its primary intended purposes, is it still a combination? F Or, is it enough to be able to identify separately regulated parts within the whole? l Unitary or single function products

Hogan & Hartson L.L.P. \\\71717/ v1 Slide 10 Assignment l Which Center has “primary jurisdiction”? l Section 503(g) F What is the primary mode of action of the product? F Which article within the combination is responsible for the primary mode of action? l FDA is forced to pick one “mode of action”

Hogan & Hartson L.L.P. \\\71717/ v1 Slide 11 Assignment: The Gordian Knot l Is it the whole or the relative contribution of each part? l For delivery systems, focus has been on the therapeutic; what is the final, decisive action of the product? l But, “improved drug delivery” can just as easily be primary l Circular, relativistic analysis

Hogan & Hartson L.L.P. \\\71717/ v1 Slide 12 Assignment: Untying the Knot l Cannot be resolved through a flow chart l Start with the 100 plus precedents l Develop factors to be weighed F where are like products regulated F what is the innovation, the driver F at point of use, what feature will predominate F what raises the most significant S/E issue F what is likely to be changed post-market

Hogan & Hartson L.L.P. \\\71717/ v1 Slide 13 Assignment: A Thought Experiment l In close cases, let sponsor decide l Statutory support in section 563 l Assignment is only where, not how l Less significant in light of MDUFMA l Could provide better APA defense

Hogan & Hartson L.L.P. \\\71717/ v1 Slide 14 Regulation: Pre-Market Approval l Single application F pre-loaded syringes F transdermal patches F MDIs l Two or more applications F laser activated drugs F iontophoresis l Hybrid regulation F drug eluting stents

Hogan & Hartson L.L.P. \\\71717/ v1 Slide 15 Regulation l Multiple applications may be less of a concern if reviews are coordinated l In most instances, all necessary data can be obtained under a PMA, NDA, or BLA l For drug delivery technologies, consider using PMA as the lead application F same as using BLA/NDA to answer device issues F stent precedent and tobacco suggest an NDA is not needed for the drug component

Hogan & Hartson L.L.P. \\\71717/ v1 Slide 16 Process l “Lack of transparency” F include decisional documents in summary approval materials, subject to redactions F include “Annex” to next generation ICAs l Make all precedents available to staff l All classification and assignment decisions need a written record of decision. See section 563 of the FDCA. l Standards for mixed or hybrid regulation should be set forth in a rule

Hogan & Hartson L.L.P. \\\71717/ v1 Slide 17 Conclusion l “The [products] all likely meet both the definition of a drug and the definition of a device... and the FDA therefore has discretion in determining how to treat them.... What the FDA is not free to do, however, is to treat them dissimilarly and to permit two sets of similar products to run down two separate tracks, one more treacherous than the other, for no apparent reason.” Bracco Diagnostics v. Shalala (1997).