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Long Term Follow Up of Subjects in Gene Transfer Clinical Trials Philippe Bishop, MD FDA/CBER Division of Clinical Trial Design and Analysis Oncology Branch.

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Presentation on theme: "Long Term Follow Up of Subjects in Gene Transfer Clinical Trials Philippe Bishop, MD FDA/CBER Division of Clinical Trial Design and Analysis Oncology Branch."— Presentation transcript:

1 Long Term Follow Up of Subjects in Gene Transfer Clinical Trials Philippe Bishop, MD FDA/CBER Division of Clinical Trial Design and Analysis Oncology Branch

2 September 20, 1993 Letter to Sponsors  RCR related lymphoma in Rhesus monkeys (Donahue RE et al, J Exp Med 176:1125, 1992)  Limited clinical experience with retroviral vectors

3 Life Long Monitoring: A Key Principle Clinical exposure to integrating vectors may pose risks to subjects that may not become apparent until years later. De novo cancer Autoimmune disease Hematologic disorders Neurologic disorders

4 October 18, 2000 Guidance Document Testing for Replication Competent Retrovirus in Retroviral Vector Based Gene Therapy Products and During Follow-up of Patients in Clinical Trials using Retroviral Vectors. http://www.fda.gov/cber/guidelines.htm

5  RCR-specific antibodies or  PCR for RCR-specific sequences in peripheral blood mononuclear cells Current Recommendations Assays

6  Pre-treatment  3 months  6 months  1 year after treatment  Yearly thereafter Current Recommendations Testing Schedule

7 Current Recommendations Testing Schedule (continued)  Yearly archival if samples are negative for RCR for 1 year post-treatment  Additional testing and patient follow-up if clinically indicated and/or sample is positive for RCR.

8 Current Recommendations Clinical Follow-up  Yearly clinical history Ü Cancer Ü Neurologic disorders Ü Hematologic disorders  Suspect clinical outcomes may trigger additional analysis of archived samples

9 Current Recommendations Clinical Follow-up (continued) If a study participant  Develops de novo neoplasm Ü Neoplastic tissue should be tested for RCR  Dies Ù An autopsy should be obtained and sampled tissue tested for RCR.

10 Current Recommendations Documentation Expedited reports (21 CFR 312.32)  Positive results (laboratory or clinical) Annual Reports (21 CFR 312.33)  Other laboratory data  Clinical summaries  Autopsy results

11 Retroviral Vector Gene Therapy FDA Survey Sponsors were contacted and asked to comment on their experience implementing life long monitoring protocols

12 Retroviral Vector Gene Therapy Long-Term Monitoring Survey  89% of INDs have an established long-term follow-up protocol

13  Estimates: $1,500-$5,000/patient/year  Inadequate resources (limited grants)  Sub-optimal 3rd party reimbursement Sponsor’s Comments to FDA Costs

14  Study participants move  Geographic distance  Patient and referring MD lose interest  Inadequate reporting (MD to PI; PI to Sponsor) Sponsor’s Comments to FDA Clinical follow-up

15  PI moves to another institution  PI leaves academia to private sector/industry  Industry mergers/Bankruptcy  Sponsor/Institution reluctant to devote indefinite resources (program closure) Sponsor’s Comments to FDA Commitment

16  Most patients die at home or away from research centers  PIs are not notified in time  Families are not asked or decline to consent  Sampling for RCR is not performed or specimen collection is sub-optimal Long-Term Monitoring Survey Autopsies

17  Lack of standardization (core facility?)  Sensitivity  Validation  Clinical relevance: (ex vivo vs in vivo gene transfer studies) Long-Term Monitoring Survey Assays/Testing methods

18  IND Inactivation or withdrawal  15% of INDs  Sponsor committed to annual follow- up of patients  FDA will accept expedited and annual reports Administrative Actions Assurance of Continued Monitoring

19 Enforcement Options  Clinical Hold  Site visit/inspection  Warning letter  Disqualification

20 Summary  Updated guidance document  Sponsors expressed concerns that life long monitoring is Ü Logistically difficult, Ü Costly, and Ü Requires an unusual level of commitment.  FDA’s enforcement options are limited.


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