| Literature DB >> 26920148 |
Eduardo Mysler1, Carlos Pineda2, Takahiko Horiuchi3, Ena Singh4, Ehab Mahgoub4, Javier Coindreau5, Ira Jacobs6.
Abstract
Biologics are vital to the management of patients with rheumatic and musculoskeletal diseases such as rheumatoid arthritis and other inflammatory and autoimmune conditions. Nevertheless, access to these highly effective treatments remains an unmet medical need for many people around the world. As patents expire for existing licensed biologic (originator) products, biosimilar products can be approved by regulatory authorities and enter clinical use. Biosimilars are highly similar copies of originator biologics approved through defined and stringent regulatory processes after having undergone rigorous analytical, non-clinical, and clinical evaluations. The introduction of high-quality, safe, and effective biosimilars has the potential to expand access to these important medicines. Biosimilars are proven to be similar to the originator biologic in terms of safety and efficacy and to have no clinically meaningful differences. In contrast, "intended copies" are copies of originator biologics that have not undergone rigorous comparative evaluations according to the World Health Organization recommendations, but are being commercialized in some countries. There is a lack of information about the efficacy and safety of intended copies compared with the originator. Furthermore, they may have clinically significant differences in formulation, dosages, efficacy, or safety. In this review, we explore the differences between biosimilars and intended copies and describe key concepts related to biosimilars. Familiarity with these topics may facilitate decision making about the appropriate use of biosimilars for patients with rheumatic and musculoskeletal diseases.Entities:
Keywords: Biologic; Biosimilar; Intended copy; Pharmacovigilance; Regulatory
Mesh:
Substances:
Year: 2016 PMID: 26920148 PMCID: PMC4839048 DOI: 10.1007/s00296-016-3444-0
Source DB: PubMed Journal: Rheumatol Int ISSN: 0172-8172 Impact factor: 2.631
Overview of biosimilar regulatory guidelines
| EMA [ | WHO [ | Canada [ | USA [ | Japan [ | Australia [ | |
|---|---|---|---|---|---|---|
| Definition | A biologic medicinal product similar to another biologic medicine that has already been authorized for use | A biotherapeutic product that is similar in terms of quality, safety, and efficacy to an already licensed reference biotherapeutic product | A biologic drug that enters the market subsequent to a version previously authorized in Canada, with demonstrated similarity to a reference product | A biologic product highly similar to the reference product notwithstanding minor differences in clinically inactive components | A biotechnological drug product developed by a different company, which is comparable with an approved biotechnology-derived product | A version of an already registered biologic medicine that has a demonstrable similarity in physicochemical, biologic, and immunological characteristics, efficacy, and safety, based on comprehensive comparability studies |
| Preclinical data | Target binding; signal transduction, functional activity/viability of cells of relevance. If in vitro comparability is satisfactory, animal studies may not be required | Receptor-binding or cell-based assays; relevant biologic/PD activity, toxicity | Receptor-binding or cell-based assays; Animal PD and repeat-dose toxicity studies, and other relevant safety observations | Structural analyses, functional assays; animal toxicity assessments, PK/PD, immunogenicity (unless determined not necessary by FDA) | Toxicity and pharmacologic assessments, PK, and local tolerance | Similar to EMA |
| Clinical trials | Comparability demonstrated in stepwise process using PK, PD (if feasible), followed by clinical efficacy and safety trials | PK, PD, (confirmatory PK/PD), efficacy, and safety | PK, PD, clinical efficacy, and safety, including immunogenicity | Study or studies including assessments of immunogenicity and PK or PD | PK, PD (with appropriate PD marker) consider safety studies (immunogenicity) | Similar to EMA |
| Naming | Commercial name, appearance, and packaging should differ; INN should be the same for related biosimilars | Changes are being considered to the current policy of using INN | Not specified | Draft guidance proposes that all biologics be given a four-letter suffix to the INN | Non-proprietary name of the reference product followed by “BS” and an abbreviation to reference the manufacturer | Australian biologic name without a specific biosimilar identifier suffix (policy is under review) |
| Pharmacovigilance | Risk management pharmacovigilance plan must be submitted; clinical safety monitored closely after marketing authorization | Pharmacovigilance plan submitted with marketing authorization application; describe planned post-marketing activities | Risk management plan submitted prior to marketing authorization; periodic safety update reports. Serious adverse drug reactions reported within 15 days | Any risk evaluation and mitigation strategy for the reference product applies. Post-marketing studies or additional clinical trials could be mandated | Post-authorization safety studies monitored on a continuous basis | Risk management plan outlining pharmacovigilance procedures to be implemented submitted with biosimilar application |
EMA European Medicines Agency, WHO World Health Organization, FDA Food and Drug Administration, TGA Therapeutic Goods Agency, PD pharmacodynamics, PK pharmacokinetic, INN International Non-proprietary Name
Fig. 1Biosimilar development process. Strong evidence of biosimilarity during analytical and non-clinical studies is essential. The objective of a biosimilar program was to establish biosimilarity, and the clinical program is focused and tailored toward this objective. Adapted from McCamish and Woolett [41], https://creativecommons.org/licenses/by-nc/3.0/us/legalcode
Key considerations in evaluating comparative clinical (phase III) studies of biosimilars [47]
| Comparability | An equivalence design at the 90 or 95 % confidence interval is used (generally preferred to a non-inferiority design) |
| Patient population | Should be clinically relevant |
| Power/sample size | Study is sufficiently powered to detect potential differences between biosimilar and reference product |
| Dose | The dose and route are consistent with the reference product |
| End points | End points are relevant to the disease state and sensitive enough to detect clinically relevant differences in efficacy and safety, if any, between the biosimilar and reference product |
| Study duration | The duration of the study was appropriate to detect clinical effects |
| Statistical analysis | A per-protocol analysis includes only patients who followed the protocol, whereas an intention-to-treat analysis includes all randomized patients |
| Efficacy | Are efficacy measures within the pre-specified acceptable margin of equivalence? |
| Safety | Are the incidence and types of adverse events comparable between biosimilar and reference product? |
Countries in which intended copies of listed biologics for rheumatic conditions are approved and/or marketed without biosimilar regulations [14, 17, 91, 92]
| Year of market introduction | Rituximab | Etanercept |
|---|---|---|
| 2007 | India (Reditux™) | – |
| 2008 | Peru (Reditux™) | Colombia (Etanar™) |
| 2010 | Chile, Bolivia (Reditux™) | – |
| 2011 | Jamaica, Ecuador (Reditux™) | China (Yisaipu) |
| 2012 | Paraguay (Reditux™) | Mexico (Etart™; Infitam™) |
| 2013 | – | India (Etacept™) |
aWithdrawn in 2014
Percentages of respondents who had reported a suspected adverse drug reaction (ADR) at least once to either a national agency or pharmaceutical manufacturer [79]
| Denmark | France | Ireland | Italy | The Netherlands | Portugal | Spain | Sweden | UK | |
|---|---|---|---|---|---|---|---|---|---|
| Any ADR report | 66.7 | 74.4 | 53.2 | 19.4 | 33.2 | 48.6 | 44.1 | 65.4 | 62.7 |
| National reporting ratea | 295.5 | 389.7 | 318.9 | 44.3 | 76.3 | 8.6 | 120.5 | 347.3 | 340.8 |
aReports/106 population/year
Fig. 2Annual number of adverse drug reactions reported to the World Health Organization from 2010 to 2015 (inclusive; per million inhabitants) [89]