2. IND Application
About the Regulation
• Provides procedures for use of investigational new
drugs
• Exempts products from premarketing approval
requirements:
– Registration, listing, interstate distribution
– Labeling
– GMPs
• Applies to most studies to determine drug safety &
effectiveness
3. When IND Application is Not Required
Clinical Study Situations
• Drug legally marketed for indicated use
– Study not intended to support new indication or significant
labeling change
– Study not intended to support significant change in
advertising
– Study doesn’t involve change in route of admin, dosage, or
use that significantly increases patient risks
• IVD biological for confirmatory diagnostic procedure
• Intended for tests of in vitro or lab research animals
• Placebo products
4. “Treatment” IND
When Used
• Drug intended to treat or diagnose serious or life-
threatening condition
• No satisfactory alternative available
• Controlled clinical trials in progress under IND
– Or when trials completed & FDA review of request to market is
pending
• Sponsor actively pursuing device marketing approval
with FDA
5. “Emergency Use” IND
When Used
• Need FDA authorization to use experimental drug in an
emergency situation that does not allow time for
submission of an IND in accordance with 21 CFR Part
312
• May be used for patients ineligible per existing study
protocol(s), or if approved study protocol does not exist
6. IND Application
Product Labeling Requirements
• Immediate package must be labeled:
– “Caution: New Drug – Limited by Federal (or United States)
law to investigational use”
• No false or misleading statements
• No representation that drug is safe or effective for
indicated use
7. IND Application
Promotion & Charging for Investigational Drugs
• No representation that drug is safe or effective for
indicated use
• No commercial distribution or test marketing
• No prolongation of study
• Prior written approval from FDA required to “charge”
for drug, unless being used under “treatment” IND
8. IND Application
Clinical Study Phases
• Phase 1 – first time in human
– Small number of healthy volunteers
– Closely monitored – focus on safety
• Phase 2 – controlled studies to evaluate effectiveness
– Small number of subjects with condition to be treated
– Closely monitored – focus on efficacy (& safety)
• Phase 3 – expanded controlled & uncontrolled studies
– Large number of subjects with condition to be treated
– Focus on efficacy (& safety)
9. IND Application Contents
Administrative Details
• Sponsor responsibility
• Submit original & 2 copies of application
• FDA notifies Sponsor in writing of date application is
received
• IND in effect 30 days after FDA receipt of application,
unless FDA notifies Sponsor otherwise
10. IND Review/Approval
FDA’s Considerations
• Subject safety & welfare
• Rendered ≤ 30 days of FDA receipt
– Only disapproval or early approval is rendered in writing
• Clinical hold may be ordered if:
– Sponsor fails to comply with applicable regulations
– Sponsor is non-responsive to requests for add’l info
– Subject risks outweigh benefits
– Unreasonable to proceed due to inadequacy of investigational
plan, manufacturing or monitoring
11. Clinical Holds
To Delay/Suspend A Study
• Phase I clinical holds
– Subject safety concerns
• Phase II & III clinical holds
– Concerns about safety or efficacy
• Treatment IND clinical holds
– Alternative treatment drug now commercially available
– Sponsor not diligently pursuing marketing approval
– Administrative oversights by Sponsor
12. IND Application Contents
An Overview
• Cover sheet/application form (Form FDA-1571)
• Table of contents
• Introductory statement
• General investigational plan
• Investigator brochure
• Protocol(s)
• Chemistry, manufacturing & control info
13. IND Application Contents
An Overview
• Pharmacology & toxicology info
• Previous human experience with drug
• Add’l info as required:
– Drug dependence/abuse potential
– Radioactive drugs
– Pediatric studies
• Add’l info as requested by FDA
14. IND Application Contents
Application Form - FDA 1571
• Required for initial IND & all subsequent submissions
• Provides basic info about Sponsor & submission
contents
• Must be signed & dated
– Obligates Sponsor to comply with laws & regs
17. IND Application Contents
Investigator Brochure
• Package insert
• Early versions contain more pre-clinical data
• Later versions more heavily weighted with clinical data
18. IND Application Contents
Protocol(s)
• Must include at least the initial protocol
• Phase I – protocol outline:
– No. subjects planned
– Eligibility requirements
– Dosing
– Safety assessments
• Phase II & III – detailed protocols
19. IND Application Contents
Chemistry, Manufacturing & Controls
• Manufacturing process
• Raw materials & finished product testing
• May refer to drug master file or previous application
22. IND Application Contents
Additional Info
• Other relevant info
• Minutes of FDA meetings
• Copies of referenced materials
• Address issues re: possible drug abuse, dependence,
radioactivity, etc.
23. IND Amendments
Necessary When:
• New protocol introduced
• Changes made to protocol that may affect:
– Scientific soundness of study
– Rights, safety or welfare of study subjects
• Addition of new study investigators (FDA Form 1572)
• New/revised information not related to protocol
– New pharmacology, toxicology, chemistry, clinical info
– Discontinuance of a study
24. IND Safety Reports
FDA Form 3500A
• Any unexpected, serious adverse experience associated
with drug use – 15 calendar days
• Any finding from animal studies suggesting significant
risk for human subjects – 15 calendar days
• Any unexpected fatal or life-threatening experience
associated with drug use – 7 calendar days
25. IND Annual Reports
When Required
• Due within 60 days of IND anniversary
• Individual study information
• Summary information for all studies, including:
– Summary of safety results & significant changes in product
manufacturing, pre-clinical study status
– General investigational plan for upcoming year
– Any Investigator Brochure revisions
– Significant Ph I protocol modifications
– Significant foreign marketing developments during prior year
– Log of outstanding business
26. IND Review/Approval
FDA Meetings
• Pre-IND Submission
– Facilitates planning for IND
• End of Phase II
– Facilitates planning for later studies
• Pre-NDA or Pre-BLA
– Facilitates preparation & review of NDA
29. IND Regulation
Reference Documents & Links (www.fda.gov/cder)
• CDER Guidance: IND Application Process (interactive
session)
http://www.fda.gov/cder/regulatory/applications/ind_page_1.htm
30. IND Regulation
Reference Documents & Links (www.fda.gov/cder)
• FDA Guidance for Financial Disclosure by Clinical
Investigators
• FDA Guidance for IRBs & Clinical Investigators
• FDA Guidance for Monitoring Clinical Investigations
• FDA/ORA Compliance Program Guidance for
Bioresearch Monitoring of Clinical Investigations
31. The IND Application
Preclinical testing/investigation
• In vitro tests/animal testing
– “reasonably safe” determination (21 C.F.R. § 312.23)
• Pharmacological data
• Toxicity testing
“Good Laboratory Practice” (GLP) (21 C.F.R. Part 58)
• Governs preclinical testing conduct
– Organization, personnel, facilities, study conduct, and
records retention
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32. The IND Process Application
Components
Cover sheet Form 1571 (21 C.F.R. §
312.23(a)(1))
Table of contents (21 C.F.R. § 312.23(a)(2))
Introductory statement and general
investigational plan (21 C.F.R. § 312.23(a)
(3))
• Brief 2-3 page summary
• Helps FDA anticipate sponsor needs
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33. The IND Application Components
Investigator’s brochure (21 C.F.R. § 312.23(a)(5))
• Compilation of the clinical and non-clinical data on the
investigational product(s) that are relevant to the study
of the product(s) in human subjects
• Facilitates investigator understanding of rationale of
key features of the protocol (dose frequency/interval,
methods of administration)
Protocols (21 C.F.R. § 312.23(a)(6))
Chemistry, Manufacturing, and Control (CMC)
information (21 CFR § 312.23(a)(7))
• Information on drug substance, drug product
(preparation, manufacturer, components, etc.)
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34. The IND Application Components
Sponsor’s pharmacological and toxicological studies (21
C.F.R. § 312.23(a)(8))
• Description of pharmacological effects, ADME
• Integrated summary of toxicological effects in animals and in
vitro studies
– Study reports should be available to FDA within 120
days of the start of the human study
Previous human experience summaries (21 C.F.R. §
312.23(a)(9))
• previous human experience should be presented in an
integrated summary
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35. Phases of Clinical Product Development
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36. FDA IND Review Process
Team Approach Decision Making
Communication Evidence-based
Multidisciplinary Safety-dependent
Consensus building Phase-dependent
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37. Phase 1 Studies
Initial administration of drug to humans
Assessment of human toxicology
Determine Maximum Tolerated Dose (MTD)
or Optimal Biological Dose (OBD)
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38. Phase 2 Studies
Begin if Phase 1 studies do not reveal unacceptable
toxicity.
Primarily focus on collection of preliminary data on
• whether the drug has effect in a defined patient
population
• the relationship between dose and effectiveness.
Continue to evaluate safety and short-term side
effects.
For controlled trials, patients receiving the drug are
compared with similar patients receiving a different
treatment -- usually a placebo or a different drug.
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39. Phase 3 Studies
Begin if preliminary evidence of effectiveness is
shown during phase 2.
Gather more information about safety and
effectiveness in a defined population.
May form the primary basis of an efficacy claim
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40. Review for Phase 1 Trials
Pre-IND meetings with the sponsor
(although not a requirement)
IND submission
Non-Clinical Review Clinical Review
Pharm/Tox
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41. Regulatory Considerations
The product manufacturing and
characterization?
The level of safety assurance needed for
beginning clinical trials
Clinical study design
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42. Clinical Review
Clinical Protocol
Protection of human subjects
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43. What is a Clinical Protocol
Written plan for how the drug is to be studied
and the procedures to be followed by each
investigator
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44. Contents of a Clinical Protocol
(21 C.F.R. § 312.23 (a) (6))
1. A statement of the objectives and purpose of the study.
2. The criteria for patient selection and for exclusion of
patients and an estimate of the number of patients to be
studied.
3. A description of the design of the study, including the kind
of control group to be used, if any, and a description of
methods to be used to minimize bias on the part of
subjects, investigators, and analysts.
4. The method for determining the dose(s) to be
administered, the planned maximum dosage, and the
duration of individual patient exposure to the drug.
Working with FDA: Biological Products and Clinical Development Ke Liu
45. Contents of a Clinical Protocol
(21 C.F.R. § 312.23 (a) (6)) (cont.)
5. A description of the observations and measurements
to be made to fulfill the objectives of the study.
6. A description of clinical procedures, laboratory tests,
or other measures to be taken to monitor the effects
of the drug in human subjects and to minimize risk.
7. The name and address and a statement of the
qualifications of investigators (Form 1572); the name
and address of the research facilities to be used; and
the name and address of each reviewing Institutional
Review Board
Details of the clinical protocol depend on the phase of the
study
Working with FDA: Biological Products and Clinical Development Ke Liu
46. Major Review Elements for a Phase 1
Clinical Protocol
Patient population
Dose, schedule and administration
Dose escalation
Dose Limiting Toxicity (DLT) definition and
Optimal Maximum Dose determination
Working with FDA: Biological Products and Clinical Development Ke Liu
47. Major Review Elements for a Phase 1
Clinical Protocol (cont.)
Stopping rules
Safety monitoring and evaluation
Safety Reporting
Case Report Form
Informed consent
Investigator’s brochure if applicable (21
C.F.R. § 312.23(a)(5))
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48. Clinical Review
Clinical Protocol
Protection of human subjects
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49. Protection of Human Subjects
Informed consent (21 C.F.R. Part 50)
• Ensures voluntary participation
• Required disclosures:
– Risks, benefits, and alternative treatments
• No contracting out of liability
• “No more than minimal risk”
“Institutional Review Boards” (IRBs) (21 C.F.R.
Part 56)
• Composed of at least 5 members from the health
care community and public
• Approve and monitor protocol
• Authority to approve, require modifications, or
disapprove research
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50. Protection of Human Subjects (cont.)
IRBs should review proposed clinical trial
within a reasonable time
IRBs should provide dates for the following
• Approval/favorable opinion;
• Modifications required prior to its
approval/favorable opinion;
• Disapproval/negative opinion; and
• Termination/suspension of any prior
approval/favorable opinion
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51. Obligations of Sponsors and Investigators
in the Conduct of Clinical Trials
Sponsor obligations (21 C.F.R. § 312.50)
• Management of IND
• Safety reports
• Transportation/shipment of drug
• Collection of unused drug
• Records: maintenance and retention
Investigator obligations (21 C.F.R. § 312.60)
• Assure IRB review and informed consent
• Adherence to protocol
• Adverse event reporting
• Trial supervision
• Records: maintenance and retention
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52. FDA Review and Decision-Making
FDA inaction in 30 days triggers the study
under the IND to “proceed”
or
FDA issuance of “clinical hold”
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53. “Clinical Hold” (21 C.F.R. § 312.42)
A clinical hold is an order issued by FDA to the
sponsor of an IND to delay or to suspend a
clinical investigation
Partial or complete clinical hold
• Partial
– A delay or suspension of only part of the clinical
work requested under the IND
• Complete
– A delay or suspension of all clinical work
requested under an IND
Can occur during phase I, II, or III
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54. Hold Reasons (21 C.F.R. § 312.42)
1. Human subject exposure to an
unreasonable and significant risk of illness
or injury;
2. Incomplete information to assess the risk to
subjects;
3. Deficient plan or protocol (additional for
Phase 2 or 3);
4. Misleading, erroneous, or materially
incomplete investigator brochure; or
5. Unqualified clinical investigators.
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55. Analysis of IND Review Decisions in OCTGT
between October 1, 2002 and December 31, 2004
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56. Common Deficiencies Leading to
Clinical Hold
Citations for Pharmacology, Toxicology and
or CMC
• Refer to other sessions of this course
Most common clinical deficiencies were
related to unreasonable and significant risk
with need for change to the eligibility criteria,
safety monitoring plan and stopping rules
The second most common citations were
related to insufficient information to assess
the risk to subjects
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57. Common Clinical Reasons for
Clinical Hold by Citations
Patient population:
• Eligibility and/or exclusion criteria
inappropriate
• Number of subjects not specified or
unreasonable
Starting dose:
• Insufficient data to support the intended
starting dose
• Product preparation or formulation
inadequately described
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58. Common Clinical Reasons for
Clinical Hold by Citations
Dose regimen:
• Administration of product risky or
inadequately described
• Proposed dose increases too aggressive
• Failure to stagger enrollment of new product
with unknown risks
• Dose modification plan unreasonable
• Repeat treatment plan unreasonable or not
supported
• Reporting
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59. Common Clinical Reasons for
Clinical Hold by Citations
Safety monitoring:
• Anticipated toxicities inadequately monitored
• Lack of appropriate Toxicity Scale
• Individual Patient Treatment Discontinuation Criteria
absent or unreasonable
• Study Stopping Rules absent or unreasonable
• Withdrawn subjects not adequately followed
• Long term follow up for patients absent or
inadequately described
• Adverse event
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60. Some Unique Issues Related to
OCTGT Regulated Products
Cancer vaccines
Cell therapies
Gene therapies
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61. Some Unique Issues Pertaining to Cancer
Vaccines, Cell Therapies and Gene Therapies
Product manufacturing and characterization,
especially autologous products
Unique aspects of early phase studies
• Metabolism does not follow standard
pharmacokinetics and/or pharmacodynamics
• Distinct product mechanism of action requires
different trial design
– Defining optimal biologic dose (OBD) rather
than maximum tolerated dose (MTD)
– Consideration of unique toxicity profiles and
monitoring
– Long term follow-up issues
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62. Considerations for Early Cancer
Vaccine Trial Designs
Patient eligibility
• Consider enrolling patients with a single
tumor histology in phase I trials
– Safety, feasibility and optimal dose
regime
• Consider evaluating the product in later
phase trials in different histologies if
promising
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63. Considerations for Early Cancer
Vaccine Trial Designs (cont.)
Eligibility
For some cancers, if the standard treatment
has low expectations for patient benefits or has
severe toxicity
• Consider enrolling patients before such
treatment
• Proceed to standard treatment if disease
progresses with the investigational
treatment
Working with FDA: Biological Products and Clinical Development Ke Liu
64. Considerations for Early Cancer
Vaccine Trial Designs (cont.)
Dose Escalation
• Cancer vaccines in general have a favorable toxicity
profile
• Consider other alternative approaches for dose
escalation in early phase cancer vaccine trials such
as accelerated titration designs
– Not to sacrifice the evaluation of the toxicities
– Reduce the chances that subjects receive
suboptimal doses of cancer vaccine
– Shorten the time interval before late phase trials
start
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65. Gene Therapy Clinical Trials – Observing
Participants for Delayed Adverse Events
How does one determine whether long-term
observations should be performed in a
particular clinical trial?
Guidance for industry: http://www.fda.gov/cber/gdlns/gtclin.pdf
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66. Criteria to Assess Potential Delayed
Risks of Gene Therapy
Is your gene therapy product
only used for ex vivo modification of cells?
Yes No
Are vector sequences integrated? Do preclinical study results
Does vector have potential for show Persistence of
Yes
latency and reactivation ? vector sequences?
Yes No
to either No to
both
Clinical protocols Risk is low.
should include long-term Long-term follow-up
Follow-up observations Observations may
not be necessary
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67. Good Clinical Practice (GCP)
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68. GCP
Good clinical practice (GCP) is an
international ethical and scientific quality
standard for designing, conducting, recording,
and reporting trials that involve the
participation of human subjects.
• See Guidance for Industry: E6 Good
Clinical Practice Consolidated Guidance
(April 1996)
http://www.fda.gov/cder/guidance/959fnl.pdf
Working with FDA: Biological Products and Clinical Development Ke Liu
69. Principles of ICH GCP
1. Clinical trials should be conducted in accordance with the
ethical principles that have their origin in the Declaration of
Helsinki, and that are consistent with GCP and the applicable
regulatory requirement(s).
2. Before a trial is initiated, foreseeable risks and inconveniences
should be weighed against the anticipated benefit for the
individual trial subject and society. A trial should be initiated and
continued only if the anticipated benefits justify the risks.
3. The rights, safety, and well-being of the trial subjects are the
most important considerations and should prevail over interests
of science and society.
4. The available nonclinical and clinical information on an
investigational product should be adequate to support the
proposed clinical trial.
Working with FDA: Biological Products and Clinical Development Ke Liu
70. Principles of ICH GCP (cont.)
5. Clinical trials should be scientifically sound, and described in a
clear, detailed protocol.
6. A trial should be conducted in compliance with the protocol that
has received prior institutional review board (IRB)/independent
ethics committee (IEC) approval/favorable opinion
7. The medical care given to, and medical decisions made on
behalf of, subjects should always be the responsibility of a
qualified physician or, when appropriate, of a qualified dentist.
8. Each individual involved in conducting a trial should be
qualified by education, training, and experience to perform his
or her respective task(s).
Working with FDA: Biological Products and Clinical Development Ke Liu
71. Principles of ICH GCP (cont.)
9. Freely given informed consent should be obtained from every
subject prior to clinical trial participation.
10. All clinical trial information should be recorded, handled, and
stored in a way that allows its accurate reporting Interpretation,
and verification.
11. The confidentiality of records that could identify subjects
should be protected, respecting the privacy and confidentiality
rules in accordance with the applicable regulatory
requirement(s).
12. Investigational products should be manufactured, handled, and
stored in accordance with applicable good manufacturing
practice (GMP). They should be used in accordance with the
approved protocol.
13. Systems with procedures that assure the quality of every
aspect of the trial should be implemented.
Working with FDA: Biological Products and Clinical Development Ke Liu
72. FDA Regulations Relating to Good
Clinical Practice and Clinical Trials
Electronic Records; Electronic Signatures (21 CFR Part 11)
Human Subject Protection (Informed Consent) (21 CFR Part 50)
Additional Safeguards for Children in Clinical Investigations of FDA-
Regulated Products (Interim Rule) (21 CFR Part 50, subpart D)
Financial Disclosure by Clinical Investigators (21 CFR Part 54)
Institutional Review Boards (21 CFR Part 56)
Investigational New Drug Application (21 CFR Part 312)
Forms 1571 (Investigational New Drug Application) and 1572 (Statement
of Investigator)
Applications for FDA Approval to Market a New Drug (21 CFR Part 314)
Applications for FDA Approval of a Biologic License (21 CFR Part 601)
Investigational Device Exemptions (21 CFR Part 812)
Premarket Approval of Medical Devices (21 CFR Part 814)
http://www.fda.gov/oc/gcp/regulations.html
Working with FDA: Biological Products and Clinical Development Ke Liu
73. Discussion of the Hypothetical Case
What were the problems?
• Rationale
• Objective
• Patient eligibility
• Trial design
• Treatment: dose, schedule, route etc.
• Safety monitoring and follow up
• Informed consent
• IRB approval
• IND submission
Working with FDA: Biological Products and Clinical Development Ke Liu
74. Discussion of the Hypothetical Case
Solutions
• Follow regulations
• Follow GCP
• Interactions with FDA
– Early interactions with FDA are critical
– Know your guidance documents
– Consider early in translational research the
questions that will be asked at the clinical
trial phase
– Phone, face to face; formal or informal:
dialogue is encouraged
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75. Quiz Questions
Choose the most appropriate answer for
questions 1-3
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76. Question 1. In developing a clinical protocol, the
following should be considered
I. Objectives and purposes of the study
II. Inclusion and exclusion criteria
III. Design of the study including the dose, schedule
and the route of administration
IV.Plans for evaluation and monitoring of the trial
subjects
A. I, II, III
B. I, III
C. III
D. II, IV
E. I, II, III, IV
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77. Answer to question 1: E
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78. Question 2. All of the following are true regarding IB and its contents except
A. A brief description of the drug substance and the formulation, including
the structural formula, if known. A summary of the pharmacological and
toxicological effects of the drug in animals and, to the extent known, in
humans.
B. A summary of the pharmacokinetics and biological disposition of the
drug in animals and, if known, in humans.
C. A summary of information relating to safety and effectiveness in
humans obtained from prior clinical studies. (Reprints of published
articles on such studies may be appended when useful.)
D. A description of possible risks and side effects to be anticipated on the
basis of prior experience with the drug under investigation or with
related drugs, and of precautions or special monitoring to be done as part
of the investigational use of the drug.
E. All clinical studies require IB.
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79. Answer to question 2: E
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80. Question 3. Which of the following constitutes a reason that
FDA may use to put a study on clinical Hold?
A. The sponsor did not have a pre-IND meeting with FDA
before IND submission.
B. One of associate investigators is not a dentist.
C. The investigator brochure is misleading, erroneous, or
materially incomplete.
D. The sponsor complains that the 30-day IND review is too
slow.
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81. Answer to question 3: C
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82. Choose true or false for the following statements
(questions 4-5):
Question 4. All human subjects who are exposed to
gene therapy products must be followed for life to
observe the delayed adverse events.
Question 5. Safety evaluation remains top priority
in all phases of clinical studies.
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83. Answer to question 4: False
Answer to question 5: True
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Hinweis der Redaktion
This slide was added as a transitional slide to next topic
This is a new slide
Slides 26 to 28 were previously cleared for a previous presentation, FDA science forum, may 2006.
Slides 29 to 30 were taken from the guidance as cited, verbatim.
Slides 31 to 34 were taken from the guidance as cited, verbatim.