third annual medical research summit preconference ii – workshop on fda enforcement, fraud and...
TRANSCRIPT
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Third Annual Medical Research Summit
Preconference II – Workshop on FDA Enforcement, Fraud and Abuse, and Other Compliance Issues in the R&D Process
Michael P. Swiatocha Karen Owen Dunlop
March 5, 2003
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2SIDLEY AUSTIN BROWN & WOOD
Agenda for Preconference II
Introductions
Backgrounder on Key Statutes & Regulations
Backgrounder on the OIG
FDA Bioresearch Monitoring Program
Break
FDA Enforcement
PhRMA Industry Standards
Risk Assessments in R&D
Questions & Answers
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Backgrounder on Key Statutes & Regulations
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4SIDLEY AUSTIN BROWN & WOOD
Backgrounder on Key Statutes and Regulations
Federal Food, Drug, and Cosmetic Act
Anti-Kickback Statute
False Claims Act
Privacy/HIPAA
State Laws
Other Statutes
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5SIDLEY AUSTIN BROWN & WOOD
Federal Food, Drug, and Cosmetic Act
FFDCA:
Adulteration
Misbranding
New Drug Approvals
Investigational New Drug Exemptions
Premarket Clearance for Safety and Effectiveness
Labeling Claims
Interstate Commerce
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6SIDLEY AUSTIN BROWN & WOOD
Food and Drug Administration
Office of the Center Director
Office of Management Office of Regulatory PolicyOffice of
Pharmacoepidemiology andStatistical Science
Office of PharmaceuticalScience
Office of New Drugs
Center for Drug Evaluation and Research (CDER)
• Drug Evaluation
• Therapeutic Areas
• Drug Safety
• Biostatistics
• Budget
• Training
• Communications
• Compliance
• IT
• Policy
• Information Disclosure
• Drug Chemistry
• Generic Drugs
• Testing and Research
• Pharmacology
• Biopharmaceutics
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7SIDLEY AUSTIN BROWN & WOOD
Federal Regulations Impacting R&D21 CFR Part:
50 – Protection of Human Subjects
– Informed Consent
– Safeguards for Children in Clinical Investigations
54 – Financial Disclosures
56 – Institutional Review Boards
58 – Good Laboratory Practices
210, 211and 820 – Good Manufacturing Practices
312 – Investigational New Drug Applications
812 – Investigational Device Exemptions
814 – Premarket Approval of Medical Devices
310, 312 and 812 – Safety Reports
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8SIDLEY AUSTIN BROWN & WOOD
Anti-Kickback Statute
Prohibition
1. - offer or payment of remuneration(e.g., research funds), or
- solicitation or receipt of remuneration in exchange for….
2. - purchase of goods or services,or- referral of beneficiaries
3. - where the goods/services are reimbursed by the federal health care programs
Exceptions and Safe Harbors
- consulting arrangements
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9SIDLEY AUSTIN BROWN & WOOD
False Claims Act
FCA:
Prohibition against “knowing” submission of false or fraudulent claims to the federal government
Qui tam actions
Vehicle for attacking financial improprieties in the government reimbursement process
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10SIDLEY AUSTIN BROWN & WOOD
Privacy/HIPAA
Growing number of privacy laws limit the collection, use, and disclosure of personal health information for research purposes
Failure to address these requirements can result in significant disruptions in the R&D process -- delaying the discovery of promising new medicines
HIPAA: Imposes strict limits on the collection, use, and disclosure of personal health information -- including in the research context
General rule for research: “Covered entities” (e.g., clinical investigators, trial sites) may not disclose patient health information unless (1) patient provides written authorization, or (2) covered entity obtains waiver, which is available only in limited contexts
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11SIDLEY AUSTIN BROWN & WOOD
Privacy/HIPAA
Most pharmaceutical manufacturers have clinical trials underway in Europe
The EU Data Protection Directive prohibits transfers of personal information to other countries without adequate privacy protections
Companies that fail to comply run the risk of potentially serious disruptions in data transfers to the US (e.g., disruption in clinical trial information that could be critical to gaining regulatory approval)
EU has threatened increased scrutiny, particularly for sensitive (e.g., health) data.
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12SIDLEY AUSTIN BROWN & WOOD
Privacy/HIPAA
Discussion Points
Authorizations or waivers
Auditing Process
Liability for Sponsor?
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13SIDLEY AUSTIN BROWN & WOOD
State Laws
Numerous states have anti-kickback laws
– Scopes/clarity vary substantially
Minnesota and Vermont
– Pharmaceutical manufacturer reporting requirements
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Backgrounder on OIG
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15SIDLEY AUSTIN BROWN & WOOD
Backgrounder on the OIG
Agency – Office of Inspector General (OIG), Health and Human Services
Mission – To improve HHS programs and operations and protect them against fraud, waste, and abuse. By conducting independent and objective audits, evaluations, and investigations, we provide timely, useful, and reliable information and advice to department officials, the administration, the Congress, and the public.
http://oig.hhs.gov
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16SIDLEY AUSTIN BROWN & WOOD
Backgrounder on the OIG
OIG Work Plan for 2003
Human Subject Protections for Children
– Evaluation of the role of IRBs in overseeing clinical research in children
FDA’s NDA Process
– Examination of the FDA process for reviewing NDAs under PDUFA
Commitment of Principal Investigators’ Effort in Grant Applications
– Determine whether major research universities committed more than 100% of principal investigators’ effort in applications for NIH training grants
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17SIDLEY AUSTIN BROWN & WOOD
Backgrounder on the OIG
OIG Work Plan for 2003 (Continued)
Management and Oversight of Research Grants
– Assessment of the NIH’s postaward financial and programmatic review of research grants at university, hospital, and other research facilities
Funding of General Clinical Research Centers
– Assessment of NIH procedures for awarding funds to general research centers that provide a research infrastructure for clinical investigators receiving primary support from NIH and other federal agencies
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18SIDLEY AUSTIN BROWN & WOOD
Backgrounder on the OIG
OIG Work Plan for 2003 (Continued)
Monitoring Adverse Events in Clinical Research
– Assessment of the adequacy of NIH practices to ensure that grantees comply with federal regulations on reporting and monitoring adverse events in clinical trials
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19SIDLEY AUSTIN BROWN & WOOD
Backgrounder on the OIG
Office of Counsel to the Inspector General Work Plan for 2003
Advisory Opinions – responses for formal opinions on the application of the anti-kickback statute and other fraud and abuse statutes
Fraud Alerts – inform the health care industry about practices that are suspect
Anti-Kickback Safe Harbors
Compliance Program Guidance to the Health Care Industry
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20SIDLEY AUSTIN BROWN & WOOD
Backgrounder on the OIG
Goals of the Compliance Program Guidance Initiative at OIG
Effort to engage the health care community in preventing and reducing fraud and abuse in federal health care programs
Assist health care industry in establishing voluntary corporate compliance programs
Enhance health care provider operations
Improve the quality of health care services
Reduce the cost of health care
Encourage use of internal controls to efficiently monitor adherence to statutes, regulations and program requirements
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21SIDLEY AUSTIN BROWN & WOOD
Backgrounder on the OIG
Compliance Program Guidance Issued by the OIG
Hospitals, nursing facilities, home health, and hospice programs
Clinical laboratories
Durable medical equipment suppliers
Medicare+Choice organizations
Individual and small group physician practices
Ambulance suppliers
Pharmaceutical manufacturers (draft published October 3, 2002)
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22SIDLEY AUSTIN BROWN & WOOD
Backgrounder on the OIG
Draft Compliance Program Guidance for Pharmaceutical Manufacturers
Seven elements of an effective compliance program
Three specific risk areas
Integrity of data used to establish government reimbursement
– Liability under the False Claims Act and Anti-Kickback statute
Kickbacks and other illegal remuneration
– CME, grants, consulting fees, other remuneration
Drug samples
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23SIDLEY AUSTIN BROWN & WOOD
Backgrounder on the OIG
Special Advisory Bulletin – Offering Gifts and other Inducements to Medicare and Medicaid Beneficiaries
Published in August 2002
Prohibits offers or transfers of any remuneration that the person knows or should know is likely to influence the beneficiary’s selection of a particular provider, practitioner, or supplier of Medicare or Medicaid payable items or services
Gifts or free services should not exceed $10 per item and $50 annual limits
Implications for clinical research
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FDA Bioresearch Monitoring Program
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25SIDLEY AUSTIN BROWN & WOOD
FDA Bioresearch Monitoring (BIMO) Program
Comprehensive program of on-site inspections and data audits to monitor the conduct and reporting of FDA regulated research
To assure the quality and integrity of data submitted to the agency in support of new product approvals
To provide for protection of the rights and welfare of human subjects involved in FDA regulated research
Scope includes new medicines, medical devices, color additives, and veterinary products
Domestic and international research
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26SIDLEY AUSTIN BROWN & WOOD
FDA Bioresearch Monitoring (BIMO) Program
GLPs for non-clinical testing laboratories
– Compliance Program 7348.808
GCPs for clinical investigations
– Compliance Program 7348.811
Sponsors, contractors, and monitors of clinical investigations
– Compliance Program 7348.810
Institutional Review Boards (IRBs)
– Compliance Program 7348.809
http://www.fda.gov
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27SIDLEY AUSTIN BROWN & WOOD
FDA Bioresearch Monitoring (BIMO) Program
Compliance Program 7348.810 - Sponsors, Contractors, and Monitors of Clinical Investigations
Responsibilities of sponsors:
– Obtain agency approval for clinical studies
– Manufacture and label investigational drug
– Initiate, withhold, discontinue clinical trials
– Select qualified investigators and monitors
– Evaluate and report adverse experiences
– Maintain records
– Submit progress reports and the final results of studies
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28SIDLEY AUSTIN BROWN & WOOD
FDA Bioresearch Monitoring (BIMO) Program
Compliance Program 7348.810 - Sponsors, Contractors, and Monitors of Clinical Investigations
Sponsors may transfer responsibilities to a Contract Research Organization (CRO):
– Written agreement specifying transferred responsibilities
– CROs are subject to same regulatory actions as sponsor
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29SIDLEY AUSTIN BROWN & WOOD
FDA Bioresearch Monitoring (BIMO) Program
FDA Inspection Process
Pre-inspection Conference(Center/District)
Site Inspection(No prior notice
Exit MeetingFD 483
EIRRegulatory
Action
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FDA Enforcement
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31SIDLEY AUSTIN BROWN & WOOD
FDA Enforcement
FDA Regional Operations
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32SIDLEY AUSTIN BROWN & WOOD
FDA Bioresearch Monitoring (BIMO) Program
Compliance Program 7348.810 - Sponsors, Contractors, and Monitors of Clinical Investigations
Establishment Inspections:
– Organization and Personnel
• Organization charts
• Outside services and contractors
• List of monitors for studies being inspected
– Selection, Monitoring and Documentation of Clinical Investigators
– Monitoring Procedures and Activities
• Process, procedures, frequency, scope of activities
• Review of records
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33SIDLEY AUSTIN BROWN & WOOD
FDA Bioresearch Monitoring (BIMO) Program
Compliance Program 7348.810 - Sponsors, Contractors, and Monitors of Clinical Investigations
Establishment Inspections (continued):
– Quality Assurance Unit (not required by regulation)
– Adverse experience/effects reporting
– Data collection and handling (21 CFR Part 11)
– Test material and packaging/labeling (samples)
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34SIDLEY AUSTIN BROWN & WOOD
FDA Bioresearch Monitoring (BIMO) Program
Compliance Program 7348.810 - Sponsors, Contractors, and Monitors of Clinical Investigations
Establishment Inspections Reports:
– NAI – No objectionable conditions or practices were found during an inspection or the objectionable conditions found do not justify further regulatory action
– VAI – Objectionable conditions or practices were found, but the agency is not prepared to take or recommend any administrative or regulatory action
– OAI – Regulatory and/or administrative actions will be recommended
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35SIDLEY AUSTIN BROWN & WOOD
FDA Enforcement
Examples of FDA Enforcement Activity
FD-483
Warning and untitled letters
Reinspection
Termination of exemption
Withdrawal of approvals
Seizure of test articles
Injunction
Prosecution under FFDCA and other federal statutes
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36SIDLEY AUSTIN BROWN & WOOD
FDA Enforcement
Examples of Warning Letters
Study kick-off without IRB approval and informed consent from patients
Protocol and investigational plan violations
Expired drugs and shipping errors (wrong drug/wrong investigator)
Lack of drug accountability and failure to maintain adequate records
Failure to complete adverse experience forms and reports to IRB
Failure to adequately supervise a study
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37SIDLEY AUSTIN BROWN & WOOD
FDA Enforcement
Other Areas of Enforcement Related to R&D
Data Integrity – Obligations of Sponsors
Investigator Fraud
Financial Disclosures and Conflicts of Interest
Disqualification of Clinical Investigators
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38SIDLEY AUSTIN BROWN & WOOD
Data Integrity – Obligations of Sponsors
General:
Ensuring that information submitted in support of regulatory approvals is complete and accurate.
Specific:
Monitoring investigators’ compliance with protocol/regulations
Assuring that all source records exist and that CRFs accurately reflect underlying records
Assuring transcription of data for analysis is accurate
Reporting data to FDA with proper quality control and traceability
Maintaining data security
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39SIDLEY AUSTIN BROWN & WOOD
Data Integrity – Scrutiny
Both FDA and OIG/HHS have identified this is an area of enforcement priority.
– FDA ramping up inspections of clinical investigators
– FDA acting against clinical investigator violations
– FDA also examining why sponsors, IRBs fail to detect violations
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40SIDLEY AUSTIN BROWN & WOOD
Clinical Investigator Fraud
The Pharmaceutical Development Environment
Increasing number and complexity of NCEs in development
Average number of clinical trials required for each potential new medicine is increasing
Competition for clinical investigators and study sites
Gaining access to patients
Increased testing of drugs in developing countries
Outsourcing of key clinical development functions
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41SIDLEY AUSTIN BROWN & WOOD
Clinical Investigator Fraud
Signs of Fraud
Subject registered or examined on holiday or weekend
Subject seen when investigator is not in the office
Consent form irregularities
Lab results repeating or rounding
Lack of study drug accountability
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42SIDLEY AUSTIN BROWN & WOOD
Clinical Investigator Fraud
Applications and Sponsors Associated with Violative Clinical Investigators
Clinical Investigator
Applications Sponsors
A 91 47
B 49 25
C 43 21
D 21 17
E 12 6
F 6 6
G 92 48
Source: Stan W. Woollen, FDA Associate Director for Bioresearch Monitoring, October 2001
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43SIDLEY AUSTIN BROWN & WOOD
Clinical Investigator Fraud
Discussion Points
Roles of clinical monitors, QA, compliance officers, and others
What keeps you awake at night?
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44SIDLEY AUSTIN BROWN & WOOD
Financial Disclosure
Objectives of the Financial Disclosure Rules for Clinical Investigators (21 CFR 54)
Alert the IND/NDA sponsor to any potentially problematic financial interest
Minimize the potential for study bias
Facilitate collection of accurate data that may be submitted years later
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45SIDLEY AUSTIN BROWN & WOOD
Financial Disclosure
Disclosable Financial Arrangements with Clinical Investigators
Compensation that could be affected by study outcome
Proprietary interest in the product under study
Equity interest in the sponsor where the value cannot readily be determined
Equity interest in a publicly held company (i.e., sponsor) that exceeds $50,000
Significant payments unrelated to the study with cumulative value of $25,000 or more (e.g., honoraria, grants, retainers, equipment)
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46SIDLEY AUSTIN BROWN & WOOD
Financial Disclosure
Key Definition of a Clinical Investigator
Listed/identified investigator or subinvestigator directly involved in the treatment or evaluation of research subjects
Includes a spouse and dependent children
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47SIDLEY AUSTIN BROWN & WOOD
Financial Disclosure
Discussion Points
Obligations of sponsors
Obligations of applicants
FDA published guidance Financial Disclosure by Clinical Investigators
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PhRMA Industry Standards
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49SIDLEY AUSTIN BROWN & WOOD
PhRMA – Industry Standards
Principles for Conduct of Clinical Trials and Communication of Clinical Trial Results
Code on Interactions with Healthcare Professionals
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50SIDLEY AUSTIN BROWN & WOOD
PhRMA – Industry Standards
Principles for Conduct of Clinical Trials and Communication of Clinical Trial Results
Clinical trials are conducted in accordance with all applicable laws and regulations, recognized principles of GCP, worldwide
Independence of clinical investigators and others involved in clinical research is respected:
– Exercise decision-making to protect research participants
– Compensation to clinical investigators will be reasonable and based on their work
– Compensation will not be paid in stock
IRBs or Ethics Committees review trials before initiation
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51SIDLEY AUSTIN BROWN & WOOD
PhRMA – Industry Standards
Principles for Conduct of Clinical Trials and Communication of Clinical Trial Results (continued)
Participation in clinical trials is based on informed consent, freely given without coercion
Timely communication of study results, regardless of the outcome of the study. Results must be:
– Objective
– Accurate
– Balanced
– Complete
Sponsors will not suppress or veto publications
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52SIDLEY AUSTIN BROWN & WOOD
PhRMA – Industry Standards
Principles for Conduct of Clinical Trials and Communication of Clinical Trial Results (continued)
Investigators will be able to review relevant data, figures, and reports for the entire study (no limitation to individual investigator’s data)
Only substantial contributors to a publication may be acknowledged as authors or contributors to a publication
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53SIDLEY AUSTIN BROWN & WOOD
PhRMA – Industry Standards
Code on Interactions with Healthcare Professionals
Informational presentations by or on behalf of a pharmaceutical company
Third-party educational or professional meetings
HCPs as consultants
Speaker training
Scholarships and educational funds
Educational and practice related items
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Risk Assessments in Medical Products R&D
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55SIDLEY AUSTIN BROWN & WOOD
Risk Assessments in Medical Products R&D
Steps
Shelf Data Review
ConductInterviews
1 2 3 4
Project LaunchAnalyze &Validate Results
Reporting
5
Risk Assessment Process
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56SIDLEY AUSTIN BROWN & WOOD
Risk Assessments in Medical Products R&D
Risk Assessment Ratings
Potential Impact of Risk
Probability
Primary Exposure
Control Mechanisms
Accountability
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Other Issues
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Questions & Answers
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59SIDLEY AUSTIN BROWN & WOOD
For More InformationMichael P. Swiatocha
Director
PricewaterhouseCoopers LLP
973-236-4541
Karen Owen Dunlop
Partner
Sidley Austin Brown & Wood
312-853-2223