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Expert Advisory
Commentary on How the US Drug Safety System Should Be Changed
(Philadelphia, PA) - In the May 3 issue of the Journal of the American
Medical Association, Brian L. Strom, MD, MPH, Professor
of Public Health and Preventive Medicine and Chair of the Department of
Biostatistics and Epidemiology at the University of Pennsylvania
School of Medicine, analyzes the limitations of the current system
of drug-safety monitoring and proposes a solution that addresses overly
aggressive early marketing practices; an absence of incentives to complete
post-marketing safety studies; direct-to-consumer (DTC) advertising that
can promote non-critical use of "blockbuster" drugs; the current
trend toward delaying drug approval; and public misunderstanding about
the safety of drugs. As Strom writes, “the net effect of [the current
system] is that the public misunderstands drug safety, believing that
a drug is safe at the time of marketing, while [adverse] events occurring
as frequently as 1 in 1000 are predictably undetected.”
Strom proposes an alternative approach with three elements: conditional
approval, an empowered US Food and Drug Administration (FDA), and a complementary
nongovernmental organization.
When a drug is initially approved, it should ideally enter a period of
conditional approval, he says. In this period, marketing, especially DTC,
would be restricted. Drug labels would need to be clearly marked that
the drug's approval is conditional and has only been studied in a limited
number of patients. Removal of label caveats would depend on the outcome
of subsequent studies and their findings, depending on the numbers of
individuals in the studies, and the risk and novelty of the drug, as well
as addressing all premarketing safety questions.
“The current system is moving toward a delay in drug approval, still
followed by optional postmarketing studies,” notes Strom. “Instead,
the proposed approach would be conditional approval followed by postmarketing
studies required before the condition is removed.”
Secondly, Strom maintains that the FDA needs an increased ability to regulate
drugs after marketing, so that it can require post-marketing studies and
labeling changes as a rule, rather than those changes being subject to
negotiation between the regulatory agency and industry. It also needs
substantially more resources for the postmarketing study of drug safety.
Strom concludes by proposing that an independent, nongovernmental organization
is needed for nonregulatory tasks that are not within the mission of the
FDA. Since many of these tasks are academic in nature - for example, performing
postmortem examinations in the event of drug disasters or developing new
pharmacoepidemiological methods - he suggests that the Agency for Healthcare
Research and Quality (AHRQ)-funded Centers for Education and Research
in Therapeutics (CERTS) or the Institute of Medicine (IOM) might play
a role.
“A key benefit of this proposed approach for the public would be
that drug use immediately after marketing would be reduced to those who
truly need the drug, in whom the risk-benefit balance in the face of uncertainty
is more favorable,” Strom says.
Editor's Notes:
Financial Disclosures: Strom receives funding from the National
Institutes of Health; the AHRQ (including CERT funding, DEcIDE [Developing
Evidence to Inform Decisions about Effectiveness] funding, and patient
safety funding); has received grants and served as a consultant to most
major pharmaceutical firms; and is an FDA Special Government Employee
for serving on FDA advisory committees. There was no funding support for
the work presented in this article.
Previous Presentation: These ideas were presented as an invited
talk at the IOM annual meeting, October 23-24, 2005, Washington, DC
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