SlideShare a Scribd company logo
1 of 32
Alina Gheorghe and
Roshanak Najafi
ICH: EFFICACY GUIDELINE
PHARMACOVIGILANGE
PLANNING
Why a guideline is needed?
Carefully planned and effective
pharmacovigilance activities, particularly for
new drugs, can reduce the risk of drug toxicity
and increase the benefit to public health.
Robust safety data can
help avoid withdrawal of
effective drugs from
the market.

There is a need for an ICH guideline on
this topic to ensure harmonisation and
consistency, to prevent duplication of
effort and to minimise risk to public
health.

In addition, the guideline may be of
benefit to public health programs
throughout the world
when considering
new drugs in their
country.
Scope and context
The guideline could be used by industry:

when preparing a pharmacovigilance plan in
discussions with regulators during the licensing
assessment

when preparing to launch a product

in case of safety concerns in the post-marketing
period
The guideline will be particularly relevant to new
chemical entities and biotechnology derived
products, as well as significant changes in
established products and those that are to be
introduced to new populations or in significant
new indications.
This guideline:

is intended to aid in planning pharmacovigilance
activities, especially in preparation for the early
postmarketing period of a new drug (in this guideline,
the term “drug” denotes chemical entities,
biotechnology-derived products, and vaccines).

main focus is on a Safety Specification and
Pharmacovigilance Plan that might be submitted at
the time of licence application.

can be used by sponsors to develop a stand-alone
document for regions that prefer this approach or to
provide guidance on incorporation of elements of the
Safety Specification and Pharmacovigilance Plan into
the Common Technical Document (CTD).
The guideline describes a method for summarising:

important identified risks of a drug

important potential risks of a drug

important missing information (including the potentially at-
risk populations and situations where the product is likely to
be used that have not been studied pre-approval)
It proposes a structure for a Pharmacovigilance Plan and
sets out principles of good practice for the design and
conduct of observational studies. It does not describe other
methods to reduce risks from drugs, such as Risk
Communication.
The guideline takes into consideration ongoing work in the
three regions and beyond on these issues.
The knowledge related to the safety profile of the product
can change over time through expanded use in terms of
patient characteristics and the number of patients exposed.
During the early postmarketing period the product might be
used in settings different from clinical trials and a much
larger population might be exposed in a relatively short
timeframe.
The decision to approve a drug is based on its having a
satisfactory balance of benefits
and risks within the conditions
specified in the product
labeling (information available
at the time of
approval).
The purpose of this guideline is to propose a structure
for a Pharmacovigilance Plan, and a Safety
Specification that summarises the identified and
potential risks of the product to be addressed in the
Plan.
The guideline is divided into the following sections:
• Safety Specification
• Pharmacovigilance Plan
• Annex –
Pharmacovigilance
Methods
This guideline's principle:
• Planning of pharmacovigilance
activities throughout the product
life-cycle;
• Science-based approach to risk
documentation;
• Effective collaboration between
regulators and industry;
• Applicability of the
Pharmacovigilance Plan across
the three ICH regions.
The Safety Specification is intended to
help industry and regulators identify any
need for specific data collection and also to
facilitate the construction of the
Pharmacovigilance Plan.
It is recommended that
sponsors follow the
structure of elements
provided below when
compiling the
Safety Specification.
The following elements should be considered for inclusion:

Non-clinical (toxicity, general pharmacology, drug interactions)

Clinical:
a. Limitations of the Human Safety Database
The world-wide experience should be
briefly discussed, including:
• The extent of the world-wide exposure
• Any new or different safety issues
identified
• Any regulatory actions related to safety
b. Populations not Studied in the Pre-Approval
Phase
• Children
• The elderly
• Pregnant or lactating women
• Patients with relevant co-morbidity such as hepatic
or renal disorders
• Patients with disease severity different
from that studied in clinical trials
• Sub-populations carrying known and relevant
genetic polymorphism
• Patients of different racial and/or ethnic origins
c. Adverse Events (AEs) / Adverse Drug Reactions
(ADRs) More detailed information should be included on
the most important identified AEs/ADRs, which would
include those that are serious or frequent and that also
might have an impact on the balance of benefits and
risks of the product.
d. Identified and Potential Interactions, Including
Food-Drug and Drug-Drug Interactions
e. Epidemiology (incidence, prevalence, mortality and
relevant co-morbidity, and should take into account
whenever possible stratification by age, sex, and racial
and/or ethnic origin).
f. Pharmacological Class Effects (The Safety
Specification should identify risks believed to be common
to the pharmacological class. )
At the end of the Safety Specification a
summary should be provided of the:
• Important identified risks
• Important potential risks
• Important missing information
Sponsors are encouraged to
summarise specific ongoing
safety issues on an issue-by-
issue basis, including both
non-clinical and clinical
data that are pertinent to the problem.
This section gives guidance on the structure of a
Pharmacovigilance Plan.
The Pharmacovigilance Plan should be based on the
Safety Specification.
The Specification and Plan can be written as two parts of
the same document. The Plan would normally be
developed by the sponsor and can be discussed with
regulators during product
development, prior to
approval (i.e., when the
marketing application is
submitted) of a new
product, or when a safety
concern arises post-
marketing.
It can be a stand-alone document but elements could
also be incorporated into the CTD.
STRUCTURE OF A PHARMACOVIGILANCE PLAN
The structure can vary depending on
the product in question and the issues
identified in the Safety Specification.
The plan should be updated as soon as
important information on safety becomes
available.
1. Summary of Ongoing Safety Issues
At the beginning of the Pharmacovigilance Plan a summary should be
provided of the:
• Important identified risks;
• Important potential risks;
• Important missing information.
This is important if the Pharmacovigilance Plan is a separate document from
the Safety Specification.
2. Routine Pharmacovigilance Practices should be
conducted for all medicinal products, regardless of whether or
not additional actions are appropriate as part of a
Pharmacovigilance Plan.
This routine pharmacovigilance should include the following:
• Systems and processes that ensure that information about all
suspected adverse reactions that are reported to the personnel of
the company are collected and collated in an accessible manner;
• The preparation of reports for regulatory authorities:
o Expedited adverse drug reaction (ADR) reports;
o Periodic Safety Update Reports (PSURs).
• Continuous monitoring of the safety profile of approved
products including signal detection, issue evaluation, updating of
labeling, and liaison with regulatory authorities;

Other requirements, as defined by local regulations
3. Action Plan for Safety Issues
The Plan for each important safety issue should be presented
and justified according to
the following structure:
• Safety issue;
• Objective of proposed action(s);
• Action(s) proposed;
• Rationale for proposed action(s);
• Monitoring by the sponsor for safety issue and proposed
action(s)
• Milestones for evaluation and reporting.
4. Summary of Actions to be Completed, Including Milestones
This section the Pharmacovigilance Plan for the product should be organised in terms of the
actions to be undertaken and their milestones.
The reason for this is that one proposed action (e.g., a prospective safety cohort study)
could address more than one of the identified issues.
It is recommended that milestones for completion of studies and other evaluations, and
for submission of safety results,
be included in the Pharmacovigilance Plan.
Things to be considered when developing
the milestones:
• Exposure to the product will have reached a level sufficient to allow potential
identification/characterisation of the AEs/ADRs of concern or resolution of a particular
concern; and/or
• The results of ongoing or proposed safety studies are expected to be available.
These milestones might be aligned with regulatory milestones (e.g., PSURs, annual
reassessment and license renewals) and used to revise the Pharmacovigilance Plan.
PHARMACOVIGILANCE METHODS
The best method to address a specific
situation vary depending on:

the product

the indication

the population being treated

the issue to be addressed
Also, the method chosen can also depend on whether an identified risk,
potential risk or missing information is the issue and whether signal
detection, evaluation or safety demonstration is the main objective of
further study.
When choosing a method, sponsors must select a design most suited to
address the safety concern.
The Annex provides a summary of the key methods used in
pharmacovigilance. This is designed to aid sponsors considering possible
methods to address specific issues identified by the Safety Specification.
This list is not all-inclusive, and sponsors should use the most up-to-date
methods that are relevant and applicable.
Design and Conduct of Observational Studies
Important tools in pharmacovigilance:
• carefully designed and conducted
pharmacoepidemiological studies, specifically
observational (non-interventional, non-
experimental) studies.
• In observational studies,
the investigator “observes
and evaluates results of
ongoing medical care
without 'controlling' the
Therapy beyond normal
medical practice.”
• A protocol should be in place before the
observational study (that is part of the
Pharmacovigilance plan) has begun.
•Experts from relevant disciplines (e.g.
pharmacovigilance experts,
pharmacoepidemiologists and biostatisticians)
should be consulted.
The protocol should be
discussed with the
regulatory
authorities before
the study starts.
Study protocols should include:

the study aims and objectives

the methods to be used

the plan for analysis
The final study report should
accurately and completely present
the study objectives, methods, results, and the principal
investigator’s interpretation of the findings.
• It is recommended that the sponsor follow good epidemiological
practice for observational studies and also internationally accepted
guidelines, such as the guidelines endorsed by the International
Society for Pharmacoepidemiology.
• In some of the ICH regions, local laws and guidelines also apply to
the design and conduct of observational studies and should be
followed.
Pharmacovigilance Methods
1. Passive Surveillance
Spontaneous Reports
Communication between healthcare professional or customers to a
company, regulatory authority or other organization
Play a major role in the identification of safety signals once a drug
is marketed
Provide important information on at-risk groups, risk factors, and
clinical features of known serious adverse drug reactions
Disadvantages include:
Evaluating spontaneous report
Incomplete data
Reporting rate depends on media attention, pharmacovigilance-
related regulatory activity
Case series
Series of case reports can provide evidence of an association
between a drug and an adverse event
More useful for generating hypotheses
Certain distinct adverse events known to be associated more
frequently with drug therapy, such as anaphylaxis, aplastic
anemia, toxic epidermal necrolysis and Stevens-Johnson
Syndrome
2. Stimulated reporting
A method used to encourage and facilitate reporting by health
professionals for new products, or for limited time period
Methods: On line reporting of AE, systematic simulation of
reporting AE
Disadvantages: selective reporting and incomplete
information
3. Active surveillance
It is more feasible to get comprehensive
data on individual adverse event reports
Sentinel Sites
• Reviewing medical records or interviewing patients
and/or physicians in a sample of sites to ensure
complete and accurate data on reported adverse
events
• Provide data from specific patient subgroups,
information on the use of a drug, such as abuse
• Most efficient for using at institutional settings such
as hospitals, nursing homes, haemodialysis centres
Disadvantages: selection bias, small numbers of
patients, and increased costs
Drug Event Monitoring
• Patients are identified by electronic prescription data or
automated health insurance claims
• A follow-up questionnaire sent to each prescribing
physician or patient at pre-specified intervals to obtain
outcome information. on patient demographics,
indication for treatment, duration of therapy (including
start dates), dosage, clinical events
Disadvantages: poor physician and patient response rates
and the unfocused nature of data collection
Registeries
• Is a list of patients presenting with the same
characteristic(s)
• Disease registry: help collect data on drug exposure
and other factors associated with a clinical condition
• Drug registry: address populations exposed to drugs of
interest to determine if a drug has a special impact on
this group of patients
4. Comparative Observational Studies
Cross-Sectional Study (Survey)
• Data collected on a population of patients at a
single point in time (or interval of time)
regardless of exposure or disease status
• Useful for gathering data for surveys or for
ecological analyses, to investigate whether
there is an association between a drug (or
drugs) and one specific rare adverse event, to
identify risk factors for adverse events
Disadvantage: temporal relationship between
exposure and outcome cannot be directly
addressed
• Cases of disease (or events) are identified.
Controls, or patients without the disease or
event of interest, are then selected
Case-Control study
• Cases of Disease (or events) are identified
• Controls, or patients without the disease or
event of interest, are then selected from the
source population
• The controls should be selected: the
prevalence of exposure among controls
represents the prevalence of exposure in
the source population
• Exposure status of the two group is then
compared using odds ratio
Cohort Study
• A population-at-risk for the disease (or event) is followed
over time for the occurrence of the disease (or event)
• To considerate the incidence rates of adverse events in
addition to the relative risks of adverse events, to
investigate multiple adverse events
• Disadvantages: since data is provided from an
automated databases, they might not have the detailed
and accurate information needed for some research
5. Targeted Clinical Investigations
• Further clinical studies might be called, When significant
risks are identified from pre-approval clinical trials
• pharmacodynamic and pharmacokinetic studies might
be conducted
• Genetic testing
• potential drug-drug interactions and food-drug
interactions
6. Descriptive Studies
Used to obtain the background rate of outcome events
and/or establish the prevalence of the use of drugs
in specified populations
• Natural History of Disease
• Focuses on characteristics of diseased patients and
the distribution of disease in selected populations
• Exp. an epidemiologic study can be conducted
using a disease registry to understand the
frequency at which the event of interest might occur
in specific subgroups
• Drug utilization study
• Provide data on specific populations; elderly,
children, or patients with hepatic or renal
dysfunction, often satisfied by age, gender and
other characteristics
• Describe how a drug is marketed, prescribed, and
used in a population, and how these factors
influence clinical, social, and economic outcomes
outcomes
• Provide data on specific populations, such as the
elderly, children, or patients with hepatic or renal
dysfunction, often stratified by age, gender,
concomitant medication, and other characteristics
• Determine whether a drug has the potential for drug
abuse
• Describe effect of regulatory actions and media
attention on the use of drugs
Disadvantages: a lack of clinical outcome data or
information of the indication for use of a product.
Any questions?
Thank you!

More Related Content

What's hot

Pharmacovigilance signal and signal detection
Pharmacovigilance signal and signal detectionPharmacovigilance signal and signal detection
Pharmacovigilance signal and signal detectionKiranRajput38
 
1.2 Importance of safety monitoring of Medicine.pptx
1.2 Importance of safety monitoring of Medicine.pptx1.2 Importance of safety monitoring of Medicine.pptx
1.2 Importance of safety monitoring of Medicine.pptxReshmaManeDeshmukh
 
ICSR (individual case safety report)
ICSR (individual case safety report)ICSR (individual case safety report)
ICSR (individual case safety report)ClinosolIndia
 
2.3  Daily defined doses.pptx
2.3  Daily defined doses.pptx2.3  Daily defined doses.pptx
2.3  Daily defined doses.pptxReshmaManeDeshmukh
 
Pharmacovigilance Planning
Pharmacovigilance PlanningPharmacovigilance Planning
Pharmacovigilance PlanningClinosolIndia
 
Pharmacovigilance regulations as per European Union
Pharmacovigilance regulations as per European UnionPharmacovigilance regulations as per European Union
Pharmacovigilance regulations as per European UnionBindu Kshtriya
 
Establishing Pharmacovigilance Centres In Hospital.pptx
Establishing Pharmacovigilance Centres In Hospital.pptxEstablishing Pharmacovigilance Centres In Hospital.pptx
Establishing Pharmacovigilance Centres In Hospital.pptxRushikeshTidake
 
Good Clinical Practice and Pharmacovigilance
Good Clinical Practice and PharmacovigilanceGood Clinical Practice and Pharmacovigilance
Good Clinical Practice and PharmacovigilanceMd. Zakaria Faruki
 
Detection, reporting and management of adverse events
Detection, reporting and management of adverse eventsDetection, reporting and management of adverse events
Detection, reporting and management of adverse eventsKatla Swapna
 
Pharmacovigilance program of India (PvPI)
Pharmacovigilance program of India (PvPI)Pharmacovigilance program of India (PvPI)
Pharmacovigilance program of India (PvPI)SnehaKhandale1
 
Anatomic Therapeutic Chemical Classification, Defined daily dose, Drug utilis...
Anatomic Therapeutic Chemical Classification, Defined daily dose, Drug utilis...Anatomic Therapeutic Chemical Classification, Defined daily dose, Drug utilis...
Anatomic Therapeutic Chemical Classification, Defined daily dose, Drug utilis...Dr.Amreen Saba Attariya
 

What's hot (20)

Safety Data Generation
Safety Data GenerationSafety Data Generation
Safety Data Generation
 
Vaccine safety surveillance
Vaccine safety surveillanceVaccine safety surveillance
Vaccine safety surveillance
 
Pharmacovigilance signal and signal detection
Pharmacovigilance signal and signal detectionPharmacovigilance signal and signal detection
Pharmacovigilance signal and signal detection
 
CIOMS (1).pptx
CIOMS (1).pptxCIOMS (1).pptx
CIOMS (1).pptx
 
Vaccine pharmacovigilance _ rajiv ahlawat
Vaccine pharmacovigilance _ rajiv ahlawatVaccine pharmacovigilance _ rajiv ahlawat
Vaccine pharmacovigilance _ rajiv ahlawat
 
1.2 Importance of safety monitoring of Medicine.pptx
1.2 Importance of safety monitoring of Medicine.pptx1.2 Importance of safety monitoring of Medicine.pptx
1.2 Importance of safety monitoring of Medicine.pptx
 
ICSR (individual case safety report)
ICSR (individual case safety report)ICSR (individual case safety report)
ICSR (individual case safety report)
 
2.3  Daily defined doses.pptx
2.3  Daily defined doses.pptx2.3  Daily defined doses.pptx
2.3  Daily defined doses.pptx
 
Pharmacovigilance Planning
Pharmacovigilance PlanningPharmacovigilance Planning
Pharmacovigilance Planning
 
Spontaneous Reporting System
Spontaneous Reporting SystemSpontaneous Reporting System
Spontaneous Reporting System
 
Pharmacovigilance regulations as per European Union
Pharmacovigilance regulations as per European UnionPharmacovigilance regulations as per European Union
Pharmacovigilance regulations as per European Union
 
Establishing Pharmacovigilance Centres In Hospital.pptx
Establishing Pharmacovigilance Centres In Hospital.pptxEstablishing Pharmacovigilance Centres In Hospital.pptx
Establishing Pharmacovigilance Centres In Hospital.pptx
 
Good Clinical Practice and Pharmacovigilance
Good Clinical Practice and PharmacovigilanceGood Clinical Practice and Pharmacovigilance
Good Clinical Practice and Pharmacovigilance
 
SEVERITY AND SERIOUSNESS ASSESSMENT OF ADR’S
SEVERITY AND SERIOUSNESS ASSESSMENT OF ADR’SSEVERITY AND SERIOUSNESS ASSESSMENT OF ADR’S
SEVERITY AND SERIOUSNESS ASSESSMENT OF ADR’S
 
Spontaneous reporting
Spontaneous reporting Spontaneous reporting
Spontaneous reporting
 
Detection, reporting and management of adverse events
Detection, reporting and management of adverse eventsDetection, reporting and management of adverse events
Detection, reporting and management of adverse events
 
CONTRACT RESEARCH ORGANIZATION
CONTRACT RESEARCH ORGANIZATIONCONTRACT RESEARCH ORGANIZATION
CONTRACT RESEARCH ORGANIZATION
 
Pharmacovigilance program of India (PvPI)
Pharmacovigilance program of India (PvPI)Pharmacovigilance program of India (PvPI)
Pharmacovigilance program of India (PvPI)
 
Anatomic Therapeutic Chemical Classification, Defined daily dose, Drug utilis...
Anatomic Therapeutic Chemical Classification, Defined daily dose, Drug utilis...Anatomic Therapeutic Chemical Classification, Defined daily dose, Drug utilis...
Anatomic Therapeutic Chemical Classification, Defined daily dose, Drug utilis...
 
Comparative observational studies
Comparative observational studies Comparative observational studies
Comparative observational studies
 

Similar to ICH pharmacovigilance planning, an efficacy guideline

Pharmacovigilance planning
Pharmacovigilance planningPharmacovigilance planning
Pharmacovigilance planningClinosolIndia
 
E2 e guideline
E2 e guidelineE2 e guideline
E2 e guidelinenani ch
 
PHARCOVIGILANCE
PHARCOVIGILANCEPHARCOVIGILANCE
PHARCOVIGILANCESGrecika85
 
Risk Management In Pharmacovigilance
Risk Management In PharmacovigilanceRisk Management In Pharmacovigilance
Risk Management In PharmacovigilanceRosmirella Cano Rojas
 
Safety reports rmp risk management plan pharmacovigilance
Safety reports rmp risk management plan pharmacovigilanceSafety reports rmp risk management plan pharmacovigilance
Safety reports rmp risk management plan pharmacovigilanceAzierta
 
Pharmacovigilance: Regulators’ Perspective on Proactive Risk Management, Chal...
Pharmacovigilance: Regulators’ Perspective on Proactive Risk Management, Chal...Pharmacovigilance: Regulators’ Perspective on Proactive Risk Management, Chal...
Pharmacovigilance: Regulators’ Perspective on Proactive Risk Management, Chal...Bhaswat Chakraborty
 
Pharmacovigilance - a regulator's perspective
Pharmacovigilance - a regulator's perspectivePharmacovigilance - a regulator's perspective
Pharmacovigilance - a regulator's perspectiveTGA Australia
 
Creating a Comprehensive Drug Development Plan
Creating a Comprehensive Drug Development PlanCreating a Comprehensive Drug Development Plan
Creating a Comprehensive Drug Development PlanCovance
 
Presentation: Spotlight on prescription medicine post-market reforms
Presentation: Spotlight on prescription medicine post-market reformsPresentation: Spotlight on prescription medicine post-market reforms
Presentation: Spotlight on prescription medicine post-market reformsTGA Australia
 
Pharmacovigilance and Drug safety
Pharmacovigilance and Drug safety Pharmacovigilance and Drug safety
Pharmacovigilance and Drug safety ClinosolIndia
 
201 regulatory aspects of drug and cosmetics .pdf
201 regulatory aspects of drug and cosmetics .pdf201 regulatory aspects of drug and cosmetics .pdf
201 regulatory aspects of drug and cosmetics .pdfBhavikaAPatel
 
Patient safety goals effective january 1, 2016
Patient safety goals effective january 1, 2016Patient safety goals effective january 1, 2016
Patient safety goals effective january 1, 2016Hisham Aldabagh
 
PV UTILISATION, APPLICATION WHO PROGRAMME.pptx
PV UTILISATION, APPLICATION WHO PROGRAMME.pptxPV UTILISATION, APPLICATION WHO PROGRAMME.pptx
PV UTILISATION, APPLICATION WHO PROGRAMME.pptxSAMYUKTHAKANDULA
 
Post marketing surveillance
Post marketing surveillancePost marketing surveillance
Post marketing surveillanceDhruvi50
 
Presentation: Pharmacovigilance requirements inspected and example findings
Presentation: Pharmacovigilance requirements inspected and example findingsPresentation: Pharmacovigilance requirements inspected and example findings
Presentation: Pharmacovigilance requirements inspected and example findingsTGA Australia
 
Balancing post-market monitoring with pre-market requirements
Balancing post-market monitoring with pre-market requirementsBalancing post-market monitoring with pre-market requirements
Balancing post-market monitoring with pre-market requirementsTGA Australia
 

Similar to ICH pharmacovigilance planning, an efficacy guideline (20)

Pharmacovigilance planning
Pharmacovigilance planningPharmacovigilance planning
Pharmacovigilance planning
 
E2 e guideline
E2 e guidelineE2 e guideline
E2 e guideline
 
PHARCOVIGILANCE
PHARCOVIGILANCEPHARCOVIGILANCE
PHARCOVIGILANCE
 
Risk Management In Pharmacovigilance
Risk Management In PharmacovigilanceRisk Management In Pharmacovigilance
Risk Management In Pharmacovigilance
 
Safety reports rmp risk management plan pharmacovigilance
Safety reports rmp risk management plan pharmacovigilanceSafety reports rmp risk management plan pharmacovigilance
Safety reports rmp risk management plan pharmacovigilance
 
Pharmacovigilance: Regulators’ Perspective on Proactive Risk Management, Chal...
Pharmacovigilance: Regulators’ Perspective on Proactive Risk Management, Chal...Pharmacovigilance: Regulators’ Perspective on Proactive Risk Management, Chal...
Pharmacovigilance: Regulators’ Perspective on Proactive Risk Management, Chal...
 
Pharmacovigilance - a regulator's perspective
Pharmacovigilance - a regulator's perspectivePharmacovigilance - a regulator's perspective
Pharmacovigilance - a regulator's perspective
 
Creating a Comprehensive Drug Development Plan
Creating a Comprehensive Drug Development PlanCreating a Comprehensive Drug Development Plan
Creating a Comprehensive Drug Development Plan
 
Presentation: Spotlight on prescription medicine post-market reforms
Presentation: Spotlight on prescription medicine post-market reformsPresentation: Spotlight on prescription medicine post-market reforms
Presentation: Spotlight on prescription medicine post-market reforms
 
Pharmacovigilance and Drug safety
Pharmacovigilance and Drug safety Pharmacovigilance and Drug safety
Pharmacovigilance and Drug safety
 
201 regulatory aspects of drug and cosmetics .pdf
201 regulatory aspects of drug and cosmetics .pdf201 regulatory aspects of drug and cosmetics .pdf
201 regulatory aspects of drug and cosmetics .pdf
 
Patient safety goals effective january 1, 2016
Patient safety goals effective january 1, 2016Patient safety goals effective january 1, 2016
Patient safety goals effective january 1, 2016
 
industrial prespectives of IND
industrial prespectives of INDindustrial prespectives of IND
industrial prespectives of IND
 
PV UTILISATION, APPLICATION WHO PROGRAMME.pptx
PV UTILISATION, APPLICATION WHO PROGRAMME.pptxPV UTILISATION, APPLICATION WHO PROGRAMME.pptx
PV UTILISATION, APPLICATION WHO PROGRAMME.pptx
 
Patient safety
Patient safetyPatient safety
Patient safety
 
Post marketing surveillance
Post marketing surveillancePost marketing surveillance
Post marketing surveillance
 
4 Dr Jian Wang Health Canada
4 Dr Jian Wang   Health Canada4 Dr Jian Wang   Health Canada
4 Dr Jian Wang Health Canada
 
Presentation: Pharmacovigilance requirements inspected and example findings
Presentation: Pharmacovigilance requirements inspected and example findingsPresentation: Pharmacovigilance requirements inspected and example findings
Presentation: Pharmacovigilance requirements inspected and example findings
 
Balancing post-market monitoring with pre-market requirements
Balancing post-market monitoring with pre-market requirementsBalancing post-market monitoring with pre-market requirements
Balancing post-market monitoring with pre-market requirements
 
Pharmacoepidemiology and risk management
Pharmacoepidemiology and risk management Pharmacoepidemiology and risk management
Pharmacoepidemiology and risk management
 

Recently uploaded

Best Basmati Rice Manufacturers in India
Best Basmati Rice Manufacturers in IndiaBest Basmati Rice Manufacturers in India
Best Basmati Rice Manufacturers in IndiaShree Krishna Exports
 
VIP Call Girls In Saharaganj ( Lucknow ) 🔝 8923113531 🔝 Cash Payment (COD) 👒
VIP Call Girls In Saharaganj ( Lucknow  ) 🔝 8923113531 🔝  Cash Payment (COD) 👒VIP Call Girls In Saharaganj ( Lucknow  ) 🔝 8923113531 🔝  Cash Payment (COD) 👒
VIP Call Girls In Saharaganj ( Lucknow ) 🔝 8923113531 🔝 Cash Payment (COD) 👒anilsa9823
 
0183760ssssssssssssssssssssssssssss00101011 (27).pdf
0183760ssssssssssssssssssssssssssss00101011 (27).pdf0183760ssssssssssssssssssssssssssss00101011 (27).pdf
0183760ssssssssssssssssssssssssssss00101011 (27).pdfRenandantas16
 
Progress Report - Oracle Database Analyst Summit
Progress  Report - Oracle Database Analyst SummitProgress  Report - Oracle Database Analyst Summit
Progress Report - Oracle Database Analyst SummitHolger Mueller
 
VIP Call Girl Jamshedpur Aashi 8250192130 Independent Escort Service Jamshedpur
VIP Call Girl Jamshedpur Aashi 8250192130 Independent Escort Service JamshedpurVIP Call Girl Jamshedpur Aashi 8250192130 Independent Escort Service Jamshedpur
VIP Call Girl Jamshedpur Aashi 8250192130 Independent Escort Service JamshedpurSuhani Kapoor
 
Call Girls Pune Just Call 9907093804 Top Class Call Girl Service Available
Call Girls Pune Just Call 9907093804 Top Class Call Girl Service AvailableCall Girls Pune Just Call 9907093804 Top Class Call Girl Service Available
Call Girls Pune Just Call 9907093804 Top Class Call Girl Service AvailableDipal Arora
 
MONA 98765-12871 CALL GIRLS IN LUDHIANA LUDHIANA CALL GIRL
MONA 98765-12871 CALL GIRLS IN LUDHIANA LUDHIANA CALL GIRLMONA 98765-12871 CALL GIRLS IN LUDHIANA LUDHIANA CALL GIRL
MONA 98765-12871 CALL GIRLS IN LUDHIANA LUDHIANA CALL GIRLSeo
 
The Coffee Bean & Tea Leaf(CBTL), Business strategy case study
The Coffee Bean & Tea Leaf(CBTL), Business strategy case studyThe Coffee Bean & Tea Leaf(CBTL), Business strategy case study
The Coffee Bean & Tea Leaf(CBTL), Business strategy case studyEthan lee
 
GD Birla and his contribution in management
GD Birla and his contribution in managementGD Birla and his contribution in management
GD Birla and his contribution in managementchhavia330
 
Lucknow 💋 Escorts in Lucknow - 450+ Call Girl Cash Payment 8923113531 Neha Th...
Lucknow 💋 Escorts in Lucknow - 450+ Call Girl Cash Payment 8923113531 Neha Th...Lucknow 💋 Escorts in Lucknow - 450+ Call Girl Cash Payment 8923113531 Neha Th...
Lucknow 💋 Escorts in Lucknow - 450+ Call Girl Cash Payment 8923113531 Neha Th...anilsa9823
 
KYC-Verified Accounts: Helping Companies Handle Challenging Regulatory Enviro...
KYC-Verified Accounts: Helping Companies Handle Challenging Regulatory Enviro...KYC-Verified Accounts: Helping Companies Handle Challenging Regulatory Enviro...
KYC-Verified Accounts: Helping Companies Handle Challenging Regulatory Enviro...Any kyc Account
 
Call Girls in Gomti Nagar - 7388211116 - With room Service
Call Girls in Gomti Nagar - 7388211116  - With room ServiceCall Girls in Gomti Nagar - 7388211116  - With room Service
Call Girls in Gomti Nagar - 7388211116 - With room Servicediscovermytutordmt
 
Unlocking the Secrets of Affiliate Marketing.pdf
Unlocking the Secrets of Affiliate Marketing.pdfUnlocking the Secrets of Affiliate Marketing.pdf
Unlocking the Secrets of Affiliate Marketing.pdfOnline Income Engine
 
Mysore Call Girls 8617370543 WhatsApp Number 24x7 Best Services
Mysore Call Girls 8617370543 WhatsApp Number 24x7 Best ServicesMysore Call Girls 8617370543 WhatsApp Number 24x7 Best Services
Mysore Call Girls 8617370543 WhatsApp Number 24x7 Best ServicesDipal Arora
 
A DAY IN THE LIFE OF A SALESMAN / WOMAN
A DAY IN THE LIFE OF A  SALESMAN / WOMANA DAY IN THE LIFE OF A  SALESMAN / WOMAN
A DAY IN THE LIFE OF A SALESMAN / WOMANIlamathiKannappan
 
Russian Faridabad Call Girls(Badarpur) : ☎ 8168257667, @4999
Russian Faridabad Call Girls(Badarpur) : ☎ 8168257667, @4999Russian Faridabad Call Girls(Badarpur) : ☎ 8168257667, @4999
Russian Faridabad Call Girls(Badarpur) : ☎ 8168257667, @4999Tina Ji
 
Enhancing and Restoring Safety & Quality Cultures - Dave Litwiller - May 2024...
Enhancing and Restoring Safety & Quality Cultures - Dave Litwiller - May 2024...Enhancing and Restoring Safety & Quality Cultures - Dave Litwiller - May 2024...
Enhancing and Restoring Safety & Quality Cultures - Dave Litwiller - May 2024...Dave Litwiller
 
Call Girls In Panjim North Goa 9971646499 Genuine Service
Call Girls In Panjim North Goa 9971646499 Genuine ServiceCall Girls In Panjim North Goa 9971646499 Genuine Service
Call Girls In Panjim North Goa 9971646499 Genuine Serviceritikaroy0888
 

Recently uploaded (20)

Best Basmati Rice Manufacturers in India
Best Basmati Rice Manufacturers in IndiaBest Basmati Rice Manufacturers in India
Best Basmati Rice Manufacturers in India
 
VIP Call Girls In Saharaganj ( Lucknow ) 🔝 8923113531 🔝 Cash Payment (COD) 👒
VIP Call Girls In Saharaganj ( Lucknow  ) 🔝 8923113531 🔝  Cash Payment (COD) 👒VIP Call Girls In Saharaganj ( Lucknow  ) 🔝 8923113531 🔝  Cash Payment (COD) 👒
VIP Call Girls In Saharaganj ( Lucknow ) 🔝 8923113531 🔝 Cash Payment (COD) 👒
 
0183760ssssssssssssssssssssssssssss00101011 (27).pdf
0183760ssssssssssssssssssssssssssss00101011 (27).pdf0183760ssssssssssssssssssssssssssss00101011 (27).pdf
0183760ssssssssssssssssssssssssssss00101011 (27).pdf
 
Progress Report - Oracle Database Analyst Summit
Progress  Report - Oracle Database Analyst SummitProgress  Report - Oracle Database Analyst Summit
Progress Report - Oracle Database Analyst Summit
 
VIP Call Girl Jamshedpur Aashi 8250192130 Independent Escort Service Jamshedpur
VIP Call Girl Jamshedpur Aashi 8250192130 Independent Escort Service JamshedpurVIP Call Girl Jamshedpur Aashi 8250192130 Independent Escort Service Jamshedpur
VIP Call Girl Jamshedpur Aashi 8250192130 Independent Escort Service Jamshedpur
 
Call Girls Pune Just Call 9907093804 Top Class Call Girl Service Available
Call Girls Pune Just Call 9907093804 Top Class Call Girl Service AvailableCall Girls Pune Just Call 9907093804 Top Class Call Girl Service Available
Call Girls Pune Just Call 9907093804 Top Class Call Girl Service Available
 
VVVIP Call Girls In Greater Kailash ➡️ Delhi ➡️ 9999965857 🚀 No Advance 24HRS...
VVVIP Call Girls In Greater Kailash ➡️ Delhi ➡️ 9999965857 🚀 No Advance 24HRS...VVVIP Call Girls In Greater Kailash ➡️ Delhi ➡️ 9999965857 🚀 No Advance 24HRS...
VVVIP Call Girls In Greater Kailash ➡️ Delhi ➡️ 9999965857 🚀 No Advance 24HRS...
 
MONA 98765-12871 CALL GIRLS IN LUDHIANA LUDHIANA CALL GIRL
MONA 98765-12871 CALL GIRLS IN LUDHIANA LUDHIANA CALL GIRLMONA 98765-12871 CALL GIRLS IN LUDHIANA LUDHIANA CALL GIRL
MONA 98765-12871 CALL GIRLS IN LUDHIANA LUDHIANA CALL GIRL
 
The Coffee Bean & Tea Leaf(CBTL), Business strategy case study
The Coffee Bean & Tea Leaf(CBTL), Business strategy case studyThe Coffee Bean & Tea Leaf(CBTL), Business strategy case study
The Coffee Bean & Tea Leaf(CBTL), Business strategy case study
 
GD Birla and his contribution in management
GD Birla and his contribution in managementGD Birla and his contribution in management
GD Birla and his contribution in management
 
Lucknow 💋 Escorts in Lucknow - 450+ Call Girl Cash Payment 8923113531 Neha Th...
Lucknow 💋 Escorts in Lucknow - 450+ Call Girl Cash Payment 8923113531 Neha Th...Lucknow 💋 Escorts in Lucknow - 450+ Call Girl Cash Payment 8923113531 Neha Th...
Lucknow 💋 Escorts in Lucknow - 450+ Call Girl Cash Payment 8923113531 Neha Th...
 
KYC-Verified Accounts: Helping Companies Handle Challenging Regulatory Enviro...
KYC-Verified Accounts: Helping Companies Handle Challenging Regulatory Enviro...KYC-Verified Accounts: Helping Companies Handle Challenging Regulatory Enviro...
KYC-Verified Accounts: Helping Companies Handle Challenging Regulatory Enviro...
 
Call Girls in Gomti Nagar - 7388211116 - With room Service
Call Girls in Gomti Nagar - 7388211116  - With room ServiceCall Girls in Gomti Nagar - 7388211116  - With room Service
Call Girls in Gomti Nagar - 7388211116 - With room Service
 
Nepali Escort Girl Kakori \ 9548273370 Indian Call Girls Service Lucknow ₹,9517
Nepali Escort Girl Kakori \ 9548273370 Indian Call Girls Service Lucknow ₹,9517Nepali Escort Girl Kakori \ 9548273370 Indian Call Girls Service Lucknow ₹,9517
Nepali Escort Girl Kakori \ 9548273370 Indian Call Girls Service Lucknow ₹,9517
 
Unlocking the Secrets of Affiliate Marketing.pdf
Unlocking the Secrets of Affiliate Marketing.pdfUnlocking the Secrets of Affiliate Marketing.pdf
Unlocking the Secrets of Affiliate Marketing.pdf
 
Mysore Call Girls 8617370543 WhatsApp Number 24x7 Best Services
Mysore Call Girls 8617370543 WhatsApp Number 24x7 Best ServicesMysore Call Girls 8617370543 WhatsApp Number 24x7 Best Services
Mysore Call Girls 8617370543 WhatsApp Number 24x7 Best Services
 
A DAY IN THE LIFE OF A SALESMAN / WOMAN
A DAY IN THE LIFE OF A  SALESMAN / WOMANA DAY IN THE LIFE OF A  SALESMAN / WOMAN
A DAY IN THE LIFE OF A SALESMAN / WOMAN
 
Russian Faridabad Call Girls(Badarpur) : ☎ 8168257667, @4999
Russian Faridabad Call Girls(Badarpur) : ☎ 8168257667, @4999Russian Faridabad Call Girls(Badarpur) : ☎ 8168257667, @4999
Russian Faridabad Call Girls(Badarpur) : ☎ 8168257667, @4999
 
Enhancing and Restoring Safety & Quality Cultures - Dave Litwiller - May 2024...
Enhancing and Restoring Safety & Quality Cultures - Dave Litwiller - May 2024...Enhancing and Restoring Safety & Quality Cultures - Dave Litwiller - May 2024...
Enhancing and Restoring Safety & Quality Cultures - Dave Litwiller - May 2024...
 
Call Girls In Panjim North Goa 9971646499 Genuine Service
Call Girls In Panjim North Goa 9971646499 Genuine ServiceCall Girls In Panjim North Goa 9971646499 Genuine Service
Call Girls In Panjim North Goa 9971646499 Genuine Service
 

ICH pharmacovigilance planning, an efficacy guideline

  • 1. Alina Gheorghe and Roshanak Najafi ICH: EFFICACY GUIDELINE PHARMACOVIGILANGE PLANNING
  • 2. Why a guideline is needed? Carefully planned and effective pharmacovigilance activities, particularly for new drugs, can reduce the risk of drug toxicity and increase the benefit to public health. Robust safety data can help avoid withdrawal of effective drugs from the market.
  • 3.  There is a need for an ICH guideline on this topic to ensure harmonisation and consistency, to prevent duplication of effort and to minimise risk to public health.  In addition, the guideline may be of benefit to public health programs throughout the world when considering new drugs in their country.
  • 4. Scope and context The guideline could be used by industry:  when preparing a pharmacovigilance plan in discussions with regulators during the licensing assessment  when preparing to launch a product  in case of safety concerns in the post-marketing period The guideline will be particularly relevant to new chemical entities and biotechnology derived products, as well as significant changes in established products and those that are to be introduced to new populations or in significant new indications.
  • 5. This guideline:  is intended to aid in planning pharmacovigilance activities, especially in preparation for the early postmarketing period of a new drug (in this guideline, the term “drug” denotes chemical entities, biotechnology-derived products, and vaccines).  main focus is on a Safety Specification and Pharmacovigilance Plan that might be submitted at the time of licence application.  can be used by sponsors to develop a stand-alone document for regions that prefer this approach or to provide guidance on incorporation of elements of the Safety Specification and Pharmacovigilance Plan into the Common Technical Document (CTD).
  • 6. The guideline describes a method for summarising:  important identified risks of a drug  important potential risks of a drug  important missing information (including the potentially at- risk populations and situations where the product is likely to be used that have not been studied pre-approval) It proposes a structure for a Pharmacovigilance Plan and sets out principles of good practice for the design and conduct of observational studies. It does not describe other methods to reduce risks from drugs, such as Risk Communication. The guideline takes into consideration ongoing work in the three regions and beyond on these issues.
  • 7. The knowledge related to the safety profile of the product can change over time through expanded use in terms of patient characteristics and the number of patients exposed. During the early postmarketing period the product might be used in settings different from clinical trials and a much larger population might be exposed in a relatively short timeframe. The decision to approve a drug is based on its having a satisfactory balance of benefits and risks within the conditions specified in the product labeling (information available at the time of approval).
  • 8. The purpose of this guideline is to propose a structure for a Pharmacovigilance Plan, and a Safety Specification that summarises the identified and potential risks of the product to be addressed in the Plan. The guideline is divided into the following sections: • Safety Specification • Pharmacovigilance Plan • Annex – Pharmacovigilance Methods
  • 9. This guideline's principle: • Planning of pharmacovigilance activities throughout the product life-cycle; • Science-based approach to risk documentation; • Effective collaboration between regulators and industry; • Applicability of the Pharmacovigilance Plan across the three ICH regions.
  • 10. The Safety Specification is intended to help industry and regulators identify any need for specific data collection and also to facilitate the construction of the Pharmacovigilance Plan. It is recommended that sponsors follow the structure of elements provided below when compiling the Safety Specification.
  • 11. The following elements should be considered for inclusion:  Non-clinical (toxicity, general pharmacology, drug interactions)  Clinical: a. Limitations of the Human Safety Database The world-wide experience should be briefly discussed, including: • The extent of the world-wide exposure • Any new or different safety issues identified • Any regulatory actions related to safety b. Populations not Studied in the Pre-Approval Phase • Children • The elderly • Pregnant or lactating women • Patients with relevant co-morbidity such as hepatic or renal disorders • Patients with disease severity different from that studied in clinical trials • Sub-populations carrying known and relevant genetic polymorphism • Patients of different racial and/or ethnic origins
  • 12. c. Adverse Events (AEs) / Adverse Drug Reactions (ADRs) More detailed information should be included on the most important identified AEs/ADRs, which would include those that are serious or frequent and that also might have an impact on the balance of benefits and risks of the product. d. Identified and Potential Interactions, Including Food-Drug and Drug-Drug Interactions e. Epidemiology (incidence, prevalence, mortality and relevant co-morbidity, and should take into account whenever possible stratification by age, sex, and racial and/or ethnic origin). f. Pharmacological Class Effects (The Safety Specification should identify risks believed to be common to the pharmacological class. )
  • 13. At the end of the Safety Specification a summary should be provided of the: • Important identified risks • Important potential risks • Important missing information Sponsors are encouraged to summarise specific ongoing safety issues on an issue-by- issue basis, including both non-clinical and clinical data that are pertinent to the problem.
  • 14. This section gives guidance on the structure of a Pharmacovigilance Plan. The Pharmacovigilance Plan should be based on the Safety Specification. The Specification and Plan can be written as two parts of the same document. The Plan would normally be developed by the sponsor and can be discussed with regulators during product development, prior to approval (i.e., when the marketing application is submitted) of a new product, or when a safety concern arises post- marketing. It can be a stand-alone document but elements could also be incorporated into the CTD.
  • 15. STRUCTURE OF A PHARMACOVIGILANCE PLAN The structure can vary depending on the product in question and the issues identified in the Safety Specification. The plan should be updated as soon as important information on safety becomes available. 1. Summary of Ongoing Safety Issues At the beginning of the Pharmacovigilance Plan a summary should be provided of the: • Important identified risks; • Important potential risks; • Important missing information. This is important if the Pharmacovigilance Plan is a separate document from the Safety Specification.
  • 16. 2. Routine Pharmacovigilance Practices should be conducted for all medicinal products, regardless of whether or not additional actions are appropriate as part of a Pharmacovigilance Plan. This routine pharmacovigilance should include the following: • Systems and processes that ensure that information about all suspected adverse reactions that are reported to the personnel of the company are collected and collated in an accessible manner; • The preparation of reports for regulatory authorities: o Expedited adverse drug reaction (ADR) reports; o Periodic Safety Update Reports (PSURs). • Continuous monitoring of the safety profile of approved products including signal detection, issue evaluation, updating of labeling, and liaison with regulatory authorities;  Other requirements, as defined by local regulations
  • 17. 3. Action Plan for Safety Issues The Plan for each important safety issue should be presented and justified according to the following structure: • Safety issue; • Objective of proposed action(s); • Action(s) proposed; • Rationale for proposed action(s); • Monitoring by the sponsor for safety issue and proposed action(s) • Milestones for evaluation and reporting.
  • 18. 4. Summary of Actions to be Completed, Including Milestones This section the Pharmacovigilance Plan for the product should be organised in terms of the actions to be undertaken and their milestones. The reason for this is that one proposed action (e.g., a prospective safety cohort study) could address more than one of the identified issues. It is recommended that milestones for completion of studies and other evaluations, and for submission of safety results, be included in the Pharmacovigilance Plan. Things to be considered when developing the milestones: • Exposure to the product will have reached a level sufficient to allow potential identification/characterisation of the AEs/ADRs of concern or resolution of a particular concern; and/or • The results of ongoing or proposed safety studies are expected to be available. These milestones might be aligned with regulatory milestones (e.g., PSURs, annual reassessment and license renewals) and used to revise the Pharmacovigilance Plan.
  • 19. PHARMACOVIGILANCE METHODS The best method to address a specific situation vary depending on:  the product  the indication  the population being treated  the issue to be addressed Also, the method chosen can also depend on whether an identified risk, potential risk or missing information is the issue and whether signal detection, evaluation or safety demonstration is the main objective of further study. When choosing a method, sponsors must select a design most suited to address the safety concern. The Annex provides a summary of the key methods used in pharmacovigilance. This is designed to aid sponsors considering possible methods to address specific issues identified by the Safety Specification. This list is not all-inclusive, and sponsors should use the most up-to-date methods that are relevant and applicable.
  • 20. Design and Conduct of Observational Studies Important tools in pharmacovigilance: • carefully designed and conducted pharmacoepidemiological studies, specifically observational (non-interventional, non- experimental) studies. • In observational studies, the investigator “observes and evaluates results of ongoing medical care without 'controlling' the Therapy beyond normal medical practice.”
  • 21. • A protocol should be in place before the observational study (that is part of the Pharmacovigilance plan) has begun. •Experts from relevant disciplines (e.g. pharmacovigilance experts, pharmacoepidemiologists and biostatisticians) should be consulted. The protocol should be discussed with the regulatory authorities before the study starts.
  • 22. Study protocols should include:  the study aims and objectives  the methods to be used  the plan for analysis The final study report should accurately and completely present the study objectives, methods, results, and the principal investigator’s interpretation of the findings. • It is recommended that the sponsor follow good epidemiological practice for observational studies and also internationally accepted guidelines, such as the guidelines endorsed by the International Society for Pharmacoepidemiology. • In some of the ICH regions, local laws and guidelines also apply to the design and conduct of observational studies and should be followed.
  • 23. Pharmacovigilance Methods 1. Passive Surveillance Spontaneous Reports Communication between healthcare professional or customers to a company, regulatory authority or other organization Play a major role in the identification of safety signals once a drug is marketed Provide important information on at-risk groups, risk factors, and clinical features of known serious adverse drug reactions Disadvantages include: Evaluating spontaneous report Incomplete data Reporting rate depends on media attention, pharmacovigilance- related regulatory activity
  • 24. Case series Series of case reports can provide evidence of an association between a drug and an adverse event More useful for generating hypotheses Certain distinct adverse events known to be associated more frequently with drug therapy, such as anaphylaxis, aplastic anemia, toxic epidermal necrolysis and Stevens-Johnson Syndrome 2. Stimulated reporting A method used to encourage and facilitate reporting by health professionals for new products, or for limited time period Methods: On line reporting of AE, systematic simulation of reporting AE Disadvantages: selective reporting and incomplete information
  • 25. 3. Active surveillance It is more feasible to get comprehensive data on individual adverse event reports Sentinel Sites • Reviewing medical records or interviewing patients and/or physicians in a sample of sites to ensure complete and accurate data on reported adverse events • Provide data from specific patient subgroups, information on the use of a drug, such as abuse • Most efficient for using at institutional settings such as hospitals, nursing homes, haemodialysis centres Disadvantages: selection bias, small numbers of patients, and increased costs
  • 26. Drug Event Monitoring • Patients are identified by electronic prescription data or automated health insurance claims • A follow-up questionnaire sent to each prescribing physician or patient at pre-specified intervals to obtain outcome information. on patient demographics, indication for treatment, duration of therapy (including start dates), dosage, clinical events Disadvantages: poor physician and patient response rates and the unfocused nature of data collection Registeries • Is a list of patients presenting with the same characteristic(s) • Disease registry: help collect data on drug exposure and other factors associated with a clinical condition • Drug registry: address populations exposed to drugs of interest to determine if a drug has a special impact on this group of patients
  • 27. 4. Comparative Observational Studies Cross-Sectional Study (Survey) • Data collected on a population of patients at a single point in time (or interval of time) regardless of exposure or disease status • Useful for gathering data for surveys or for ecological analyses, to investigate whether there is an association between a drug (or drugs) and one specific rare adverse event, to identify risk factors for adverse events Disadvantage: temporal relationship between exposure and outcome cannot be directly addressed • Cases of disease (or events) are identified. Controls, or patients without the disease or event of interest, are then selected
  • 28. Case-Control study • Cases of Disease (or events) are identified • Controls, or patients without the disease or event of interest, are then selected from the source population • The controls should be selected: the prevalence of exposure among controls represents the prevalence of exposure in the source population • Exposure status of the two group is then compared using odds ratio
  • 29. Cohort Study • A population-at-risk for the disease (or event) is followed over time for the occurrence of the disease (or event) • To considerate the incidence rates of adverse events in addition to the relative risks of adverse events, to investigate multiple adverse events • Disadvantages: since data is provided from an automated databases, they might not have the detailed and accurate information needed for some research 5. Targeted Clinical Investigations • Further clinical studies might be called, When significant risks are identified from pre-approval clinical trials • pharmacodynamic and pharmacokinetic studies might be conducted • Genetic testing • potential drug-drug interactions and food-drug interactions
  • 30. 6. Descriptive Studies Used to obtain the background rate of outcome events and/or establish the prevalence of the use of drugs in specified populations • Natural History of Disease • Focuses on characteristics of diseased patients and the distribution of disease in selected populations • Exp. an epidemiologic study can be conducted using a disease registry to understand the frequency at which the event of interest might occur in specific subgroups • Drug utilization study • Provide data on specific populations; elderly, children, or patients with hepatic or renal dysfunction, often satisfied by age, gender and other characteristics
  • 31. • Describe how a drug is marketed, prescribed, and used in a population, and how these factors influence clinical, social, and economic outcomes outcomes • Provide data on specific populations, such as the elderly, children, or patients with hepatic or renal dysfunction, often stratified by age, gender, concomitant medication, and other characteristics • Determine whether a drug has the potential for drug abuse • Describe effect of regulatory actions and media attention on the use of drugs Disadvantages: a lack of clinical outcome data or information of the indication for use of a product.