Transcript Slide 1

Analysis of EU MRP/DCP procedures
regarding to generic applications
Dr.Raimonds Lozda, FMS Baltic Ltd
Kiev, 04/12/2007
EU Authorities
EU-Commission
Enterprise DG(Enterprise Directorate-General)
Unit F2: Pharmaceuticals
Regulatory framework and Market authorisations
EMEA The European Agency for the Evaluation of
Medicinal Products
CPMP Committee for Proprietary Medicinal
Products
National Regulatory Authorities
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AIMS of the EU-Commission
– Ensure a high level of protection of public health
– Bring about a single market in pharmaceuticals
– Foster a stable and predictable environment for
pharmaceutical innovation
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Regulatory policy and tasks of the EC
– Ensure appropriate standards of consumer protection
– Maintain, update and simplify EU pharmaceutical legislation
– Draft new legislation
– Provide guidance on pharmaceutical legislation and ensure
that it is properly implemented within the EU
– Support the mutual recognition of national marketing
Authorisations
– Check that centralised authorisations comply with
community law and turn the EMEA opinion into a binding
decision for all the Member States (issue the authorization)
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Legally binding acts and „soft laws“
Legally binding acts:
• Regulation (e.g. EEC No. 2309/93)
• Directive (e.g. 2001/83/EC)
• Decision (e.g. N°74/1999)
„Soft laws“:
• Resolution
• Communication (e.g. 98/C229/03)
• Guideline (e.g. GCP, GMP, GLP)
• Notice to Applicants (e.g. Notice to
Applicants NTA)
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Regulation vs. Directive
Regulations (EEC) no. 726/2004 (EMEA):
– Binding legislation which automatically enters
into force in all Member States
Directives 2004/27/EC and 2004/24/EC
– Require transposition into national law
(normally within 18 months) leaving to national
authorities decision as to form and means for
achieving desired aim of law
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Legally binding acts regulating MRP/DCP MA legislation in the
EU
In 2001 a comprehensive reform of the EU pharmaceutical legislation,
commonly referred to as “Review 2001” took place.
The following directive was published:
Directive 2001/83/EC on human medicines including rules for marketing
authorisation (MRP and DP), authorisation procedure, manufacture and
importation, labelling, pharmacovigilance as well as advertising
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Review 2001
Objectives of the review:
– guarantee a high level of public health protection for Europeans
– create basic legal conditions for improving the competitiveness of
the European pharmaceutical industry
– meet the challenge of EU-enlargement
– rationalise and simplify the medicines authorisation systems
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Finalisation of the “Review 2001”
• Regulation 726/2004 Community procedures for authorisation of
medicinal products for human and veterinary use – centralised
procedure (replaces Regulation 2309/93)
• Directive 2004/27/EC amending Directive 2001/83/EC related to
medicinal products for human use
• Directive 2004/24/EC amending Directive 2001/83/EC related to
traditional herbal medicinal products
– The most parts of the regulation came in force on 20 November
2005
– all EU member states had to implement the revised directives by
30 October, 2005
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Objectives for the finalisation:
– New measures to eliminate the remaining obstacles to
free movement
– Revision of MRP: Formalisation of Cooperation between
Member States
– Clear definition of medicinal products to avoid
“borderline” products
– Clear position, which products have to be authorised by
centralised procedure
– Renewal and invalidity of marketing authorisation after
granting of MA
– Harmonisation of data protection
– Facilitating the access of generics to the market
– Specialities for bio-similars
– Quality aspect for MP was enlarged to requirements on
active substances
– Proper use of medicinal products
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Which procedures are possible for generics ?
Mutual Recognition Procedure (MRP)
Decentralised Procedure (DCP)
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THE MUTUAL RECOGNITION PROCEDURE
Generic Case Study
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What is a generic medicine in EU ?
DIRECTIVE 2004/27/EC
“reference medicinal product” shall mean a medicinal
product authorised under Article 6, in accordance with
the provisions of Article 8;
“generic medicinal product” shall mean a medicinal product which has the
same qualitative and quantitativecomposition in active substances and the
same pharmaceutical form as the reference medicinal product, and whose
bioequivalence with the reference medicinal product has been
demonstrated by appropriate bioavailability studies. The different salts,
esters, ethers, isomers, mixtures of isomers, complexes or derivatives of an
active substance shall be considered to be the same active substance,
unless they differ significantly in properties with regard to
safety and/or efficacy. In such cases, additional information providing proof
of the safety and/or efficacy of the various salts, esters or derivatives of an
authorised active substance must be supplied by the applicant. The various
immediate-release oral pharmaceutical forms shall be considered to be one
and the same pharmaceutical form. Bioavailability studies need not be
required of the applicant if he can demonstrate that the generic medicinal
product meets the relevant criteria as defined in the appropriate detailed
guidelines.
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What is Data Exclusivity ?
Data Exclusivity guarantees market protection for branded
pharmaceuticals by preventing health authorities from
accepting applications for generic medicines during a given
period (6 or 10 years after the first authorisation in the EU of
theoriginator product).
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Data exclusivity in EU
• for all MA-application after the 20.11.2005:
– The new data protection is valid:
• 8 + 2+ 1 for all products - independent of the approval
procedure:
• 10 (8+2) years market exclusivity
8 years data protection and receive a MA – the generic MAH is
not allowed to place his product on the market until 10 years
have expired
• 11 (8+2+1) for a new indication with a significant clinical
benefit in comparison with existing therapies, a year
supplementary protection is given
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What is Bolar Provision?
A “Bolar” provision allows all development, testing and
experimental work required for the registration of a
generic medicine to take place before expiry of the term
of the patent protection of the original product.
EU generic companies are forced to develop their
products in countries with Bolar provisions and then
import after patent expiry.
Bolar implentation in some countries – UK
October 2005, DE September 2005, IT March 2005
LV March 2007.
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MRP
If a national marketing authorisation exists, only the Mutual
Recognition Procedure is possible
What does it mean ?
If you have a MA in one or more countries and in order to get a MA in
some other country the only possibility is : MRP
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MRP exceptions
… except
• Medicinal products subject to the centralized procedure
• Line-extensions for non-harmonized products approved by
national procedures (Only PL,LT possible ?)
• Medicinal products not yet reviewed, e.g. products under
reevaluation (No such products presently)
• Homeopathic products
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What are MRP difficulties ?
RMS – reference member state
Presently all EU national Agencies dealing with MRP are booked till 2009
Points to consider
• Scientific expertise and knowledge in the therapeutic
area
• Reputation in the regulatory community
• Reliability
• Duration of assessment
• Good project management and co-ordination skills
• Transparency of communication
• Market size of RMS (1st approval offers the chance for
an early
entry into a big market)
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CMS- concerned member state
Applications in Concerned Member States
The applications must be submitted to the competent
authorities of all CMS accompanied by the following
confirmations:
• the dossier is identical to that approved by the RMS
• the Summary of Product Characteristics (SPC) is
Identical
• dossier and SPC as submitted are identical for all CMS
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MRP flow-chart
~ 330 days total
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MRP process description
– Submission of the dossier (CTD, SPC, PIL, label) only in the
Reference Member State (RMS) for national marketing
authorisation
– after 210 d: first marketing authorisation: RMS sends
assessment-report to Concerned Member State (CMS);
national process
– In further 90 days resolution and agreement to dossier and
final SPC
– Further national marketing authorisation in 30 calendar days
(translation etc)
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MRP flow-chart
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MRP process description
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THE DECENTRALIZED PROCEDURE
Generic Case Study
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DCP
If no marketing authorisation exists, the decentralised
procedure can be choosen if the authorisation is planned in
more than one Member State
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MRP flow-chart
~ 210 days total
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DCP process description
– Submission of the dossier (CTD, SPC,
PIL, label) in the RMS and all CMS
– After 210 days: national marketing
authorisations in RMS and CMS
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DCP process description
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MRP, DCP issues
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What are main threats in MRP, DCP ?
Validation of the dossier according to NTA
1) Preparation of dossier - Language
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What are main threats in MRP, DCP ?
Validation of the dossier according to NTA
1) Preparation of dossier – number of copies
EE Modules 4 and 5 should be provided on CD-ROM version only. Paper copy should be available on request
LT Mutual Recognition Procedure where LT acts as CMS: a paper copy of 1&2 modules +all modules on CD-ROM
LV Additional copy of all modules on CD – ROM
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What are main threats in MRP, DCP ?
Validation of the dossier according to NTA
2) Samples, mock-ups
EE in the presentation authorised in RMS
LV 2 samples in the form of final sales presentation of the medicinal product
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What are main threats in MRP, DCP ?
Validation of the dossier other issues
Payments
1) When and where to pay ?
2) What documents support payment ?
Reference product
Brand name issues
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What are main threats in MRP, DCP ?
During the procedure
Strict follow to timeframes set in procedure
The duration of the clock stop can be
strongly influenced by the applicant !!!
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What are main threats in MRP, DCP ?
During the procedure
„User test“ (Art. 59 (3) and 61(1) on the patient information
has to be done –
• here the tests only in one EU-language is necessary –the
result has to be presented in English
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What are main threats in MRP, DCP ?
During the procedure
What is the User test ?
The action which increases the cost of MA
“The package leaflet shall reflect the results of consultations
with target patient groups to ensure that it is legible, clear and
easy to use” and
“The results of assessment carried out …with target patient
groups shall also be provided to the competent authority”
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What are main threats in MRP, DCP ?
National phase
Almost never completed within 30 days MRP and 90 DCP
Not only the SPC but also the package leaflet (PL) and labelling has
to be identical
– the „blue box“ concept will allow adequate national information like
national marketing authorisation number, special warnings
-proposals of labelling, patient information and summary of product
characteristics has to be submitted in one language for applications for
marketing authorisation
- the translations of the agreed SPS, PL and labelling have to be
submitted at latest 5 days after the end of the procedure to the national
competent authorities
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What are main threats in MRP, DCP ?
National phase
On the packaging the name of the product has to be
printed in Braille-format
• Mock-ups of the packaging including the Braille signs
have to be submitted with the SmPC
Check the product - hospital or not
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What are main threats in MRP, DCP ?
National phase
Common Baltic Pack – reality ?
Nightmare
„blue box“ too big.
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MRP, DCP statistics- generics
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MRP, DCP statistics- generics
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MRP, DCP statistics
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MRP, DCP statistics
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MRP, DCP statistics
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MRP, DCP statistics
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MRP, DCP statistics
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MRP, DCP statistics
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MRP, DCP statistics
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MRP, DCP statistics
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MRP, DCP tips and tricks
What to do if you have a product you want to sell to different clients ?
Multiple applications
Same dossier (photocopies)
• Same legal basis Art 8.3 (i) or Art 10.1 Dir 2001/83/EC
• Different trade names
• Same or linked applicant or different applicant
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MRP, DCP tips and tricks
What to do if a product was under MRP/DCP but you want to add one country
where is no MA ?
Find a company which will Apply as MAH and after granting transfer MA
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Key lessons from MRP,DCP
1) To go your own is not the cheapest way
2) Local contact in each country is mandatory
3) Paper work is too complicated that SOPs (Standart Operation Procedures)
on spot are of high relevance
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Contact details:
E-mail: [email protected]
Tel:+37129218104
www.farma.lv
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