| Literature DB >> 26314282 |
Hedwig M Blommestein1, Nigel Armstrong2, Steve Ryder2, Sohan Deshpande2, Gill Worthy2, Caro Noake2, Rob Riemsma2, Jos Kleijnen2,3, Johan L Severens4, Maiwenn J Al4.
Abstract
The National Institute for Health and Care Excellence (NICE) invited the manufacturer of lenalidomide (Celgene) to submit evidence of the clinical and cost effectiveness of the drug for treating adults with myelodysplastic syndromes (MDS) associated with deletion 5q cytogenetic abnormality, as part of the Institute's single technology appraisal (STA) process. Kleijnen Systematic Reviews Ltd (KSR), in collaboration with Erasmus University Rotterdam, was commissioned to act as the Evidence Review Group (ERG). This paper describes the company's submission, the ERG review, and the NICE's subsequent decisions. The ERG reviewed the evidence for clinical and cost effectiveness of the technology, as submitted by the manufacturer to the NICE. The ERG searched for relevant additional evidence and validated the manufacturer's decision analytic model to examine the robustness of the cost-effectiveness results. Clinical effectiveness was obtained from a three-arm, European, randomized, phase III trial among red blood cell (RBC) transfusion-dependent patients with low-/intermediate-1-risk del5q31 MDS. The primary endpoint was RBC independence for ≥26 weeks, and was reached by a higher proportion of patients in the lenalidomide 10 and 5 mg groups compared with placebo (56.1 and 42.6 vs 5.9 %, respectively; both p < 0.001). The option of dose adjustments after 16 weeks due to dose-limiting toxicities or lack of response made long-term effectiveness estimates unreliable, e.g. overall survival (OS). The de novo model of the manufacturer included a Markov state-transition cost-utility model implemented in Microsoft Excel. The base-case incremental cost-effectiveness ratio (ICER) of the manufacturer was £56,965. The ERG assessment indicated that the modeling structure represented the course of the disease; however, a few errors were identified and some of the input parameters were challenged. In response to the appraisal documentation, the company revised the economic model, which increased the ICER to £68,125 per quality-adjusted life-year. The NICE Appraisal Committee (AC) did not recommend lenalidomide as a cost-effective treatment. Subsequently, the manufacturer submitted a Patient Access Scheme (PAS) that provided lenalidomide free of charge for patients who remained on treatment after 26 cycles. This PAS improved the ICER to £25,300, although the AC considered the proportion of patients who received treatment beyond 26 cycles, and hence the ICER, to be uncertain. Nevertheless, the AC accepted a commitment from the manufacturer to publish, once available, data on the proportion of patients eligible for the PAS, and believed this provided reassurance that lenalidomide was a cost-effective treatment for low- or intermediate-1-risk MDS patients.Entities:
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Year: 2016 PMID: 26314282 PMCID: PMC4706836 DOI: 10.1007/s40273-015-0318-3
Source DB: PubMed Journal: Pharmacoeconomics ISSN: 1170-7690 Impact factor: 4.981
Revised base-case cost-effectiveness analysis, incorporating corrections and amendments identified by the ERG and AC
| BSC | Lenalidomide | Incremental | ICER | ||||
|---|---|---|---|---|---|---|---|
| Cost (£) | QALY | Cost (£) | QALY | Cost (£) | QALY | Cost per QALY gained (£) | |
| Manufacturer’s base-case analysis | 105,726 | 2.58 | 156,308 | 3.46 | 50,582 | 0.89 | 56,965 |
| Corrected confirmed programming errors | 104,753 | 2.59 | 156,308 | 3.46 | 51,555 | 0.87 | 59,196 |
| Correcting programming errors dose reduction | 104,753 | 2.59 | 162,628 | 3.46 | 57,875 | 0.87 | 66,453 |
| Additional cycle added | 104,753 | 2.59 | 162,628 | 3.46 | 57,875 | 0.87 | 66,453 |
| Half-cycle correction | 104,052 | 2.57 | 160,343 | 3.43 | 56,292 | 0.87 | 64,929 |
| Chelation therapy deferiprone added | 102,270 | 2.64 | 158,890 | 3.49 | 56,620 | 0.85 | 66,346 |
| Cost AML-adjusted | 100,655 | 2.64 | 157,227 | 3.49 | 56,572 | 0.85 | 66,289 |
| Response over time (mortality based on maximum response) | 102,839 | 2.64 | 153,817 | 3.45 | 50,978 | 0.81 | 62,773 |
| Cost AEs adjusted | 102,836 | 2.64 | 153,733 | 3.45 | 50,898 | 0.81 | 62,674 |
| ERG revised base-case | 102,836 | 2.64 | 153,733 | 3.45 | 50,898 | 0.81 | 62,674 |
| Scenario: Monitoring would be undertaken by a hematologist and progression to AML similar for lenalidomide and BSC | 123,241 | 2.95 | 172,307 | 3.67 | 49,065 | 0.72 | 68,125 |
ERG Evidence Review Group, AC Appraisal Committee, ICER incremental cost-effectiveness ratio, QALY quality-adjusted life-year, AML acute myeloid leukemia, AEs adverse events, BSC best supportive care
| Treatment with lenalidomide is clinically effective because it is associated with improved transfusion independence and health-related quality of life. |
| Due to the crossover design of the trial after 16 weeks, long-term effectiveness estimates were unreliable and overall survival (OS) was estimated through an indirect relationship, i.e. lenalidomide reduces transfusion dependence and patients becoming transfusion independent have better OS. |
| The patient access scheme increased uncertainty around the value of the resulting ICER since it only benefits patients on treatment beyond 26 cycles and there was uncertainty on this proportion. |
| Lenalidomide was accepted under the commitment of the manufacturer to collect data on the proportion of patients on treatment beyond 26 cycles. Data collection by the manufacturer ensures uncertainties can be addressed when the guidance is reviewed; however, it does not address any loss in health benefits for other patients in the National Health Service (NHS) if it turns out that survival has been overestimated and that lenalidomide was in fact not cost effective. |