Meetings with the FDA are a chance for sponsors to discuss their development plans with the people responsible for reviewing their program. At this stage there are often questions regarding minimum requirements for the quality and manufacturing of a new drug for trial—whether the proposed toxicology studies are sufficient to support the dose and duration of drug treatment, as well as the selection of patients for a first in human (FIH) study.
These meetings are also an opportunity to discuss the qualifications for expedited programs or accelerated development. Carefully constructed questions and meeting packages can facilitate meaningful responses beyond the typical advice to review guidance documents or a boiler plate answer, like it is premature to discuss. For instances in which a companion diagnostic will be used for patient identification or outcome assessment, plan the discussion around timing and validation to gain clarity on how best to proceed.
Goals for granting and conduct of meetings have been established, and the FDA has issued a formal (albeit still draft) guidance in 2017 describing the process for “requesting, preparing, scheduling, conducting, and documenting” such meetings.
The timing for when to request a pre-IND meeting should be determined by when there is enough information to allow FDA to respond to the questions being asked, while still being early enough for the sponsor to implement advice from the FDA. Having a well-organized, reviewer-friendly meeting package helps facilitate discussion and establish a positive working relationship with the review division. Obtaining meaningful feedback for a program can accelerate the pathway to initiation of the clinical trial.
The Center for Biologics Evaluation and Research (CBER) offers an earlier stage meeting program called INTERACT (INitial Targeted Engagement for Regulatory Advice on CBER producTs). These are informal (non-PDUFA) meetings intended to provide preliminary guidance for innovative programs posing unique challenges that are not yet at the IND stage. A similar format no longer exists within the Center for Drug Evaluation and Research (CDER).
Additionally, Precision’s regulatory experts can support your IND and BLA submissions, as well as the development of a comprehensive regulatory strategy and documentation.
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