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FDA Sentinel Initiative

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Presentation on theme: "FDA Sentinel Initiative"— Presentation transcript:

1 FDA Sentinel Initiative
Karen C. Lee, M.D. M.P.H. Office of Critical Path Programs U.S. Food and Drug Administration October 28, 2008 4/7/2019

2 Summary FDA Sentinel Initiative
FDA Sentinel Initiative Background Vision Current status Potential impact on corporate compliance departments 4/7/2019

3 Sentinel Initiative: HHS Secretary Request to FDA (2005)
Expand current system for monitoring medical product performance Explore possibility of working in collaboration with multiple healthcare data systems Augment capability of identifying and evaluating product safety information beyond existing voluntary reporting systems Strengthen ability to monitor product throughout entire life cycle 4/7/2019

4 Sentinel Initiative: HHS Secretary Request to FDA (2005)
Create public-private partnership Use increasingly available large, electronic healthcare databases Use emerging technologies and build on existing systems, rather than create new systems Also requested by IOM report “The Future of Drug Safety – Promoting and Protecting the Health of the Public” (2006) 4/7/2019

5 FDA Amendments Act (FDAAA) of 2007
Reagan-Udall Foundation Expansion of the existing ClinicalTrials.gov registry New FDA postmarket safety authorities RUF = a private, independent, nonprofit entity, to advance the mission of FDA to modernize medical, veterinary, food, food ingredient, and cosmetic product development, accelerate innovation, and enhance product safety Clinical trials.gov registry to make available to the public information, including safety information, on drugs undergoing premarket study 4/7/2019

6 FDAAA Section 905 Develop methods to obtain access to disparate sources of data Develop validated methods to link and analyze safety data from multiple sources ≥ 25 million pts by July 1, 2010 ≥ 100 million pts by July 1, 2012 Collaborate with public, academic, and private entities 4/7/2019

7 FDA Sentinel Initiative: Vision
FDA Sentinel Initiative report (May 2008) FDA’s current vision of nationwide electronic safety monitoring system Data remain with original owners behind existing firewalls Owners run FDA-requested queries (or could opt out) and convey the results of their queries to the FDA for analysis (under strict privacy and security safeguards) FDA may able to partner with existing data owners (e.g., Centers for Medicare & Medicaid Services, VA, DoD, insurance companies with large claims databases, owners of electronic health records) Reagan-Udall Foundation to be ultimate host Long-term project to be implemented in stages Ultimately could facilitate various policy and technical efforts, including data standards, data mining and other research-related activities 4/7/2019

8 FDA Sentinel Initiative: Current Status
Earliest stages – will necessarily evolve Create broad public forum to discuss issues related to developing and implementing the system FDA-initiated meetings Federal partners Data holders Academics and experts Patient representatives Consumers Industry Vendors Brookings Institution Questions esp relevant to complicance to be resolved include: Governance (access, uses) Primary goals & methods Active surveillance v. data mining Hypothesis-testing v. hypothesis-generation, signal detection v. signal evaluation 4/7/2019

9 FDA Sentinel Initiative: Current Status
Eight contracts recently awarded Governance Access, controls, business models, secondary uses, etc Epidemiologic (6) Data sources (3) – general, orthopedic device registries, blood and tissues Signal detection Medical product uptake Database models Engaging stakeholders 4/7/2019

10 FDA Sentinel Initiative: Current Status
Epidemiologic pilots Test and validate methods to study known drug-adverse event associations to avoid regulatory actions based on invalid results CMS Observational Medical Outcomes Partnership electronic Health Initiative 4/7/2019

11 FDA Sentinel Initiative: Potential Implications for Compliance
National resource that will serve as another tool for drug safety evaluation/surveillance Will not replace current adverse event reporting systems May help companies comply with current reporting requirements 21 CFR § , 21 CFR § , 21 CFR § 803 Post-marketing commitments Drug safety monitoring as requested by FDA and/or initiated by MFRs, other potential users 4/7/2019


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