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nidan7500

05/28/17 7:26 AM

#106410 RE: nidan7500 #106409

) What are the benefits of a breakthrough therapy designation?
Breakthrough therapy designation is intended to expedite the development and review of drugs for serious or life-threatening conditions. The criteria for breakthrough therapy designation require preliminary clinical evidence that demonstrates the drug may have substantial improvement on at least one clinically significant endpoint over available therapy.
 
A breakthrough therapy designation conveys all of the fast track program features (see below for more details on fast track designation), more intensive FDA guidance on an efficient drug development program, an organizational commitment involving senior managers, and eligibility for rolling review and priority review. Section 902 of FDASIA requires the following actions, as appropriate:
 
holding meetings with the sponsor and the review team throughout the development of the drug
providing timely advice to, and interactive communication with, the sponsor regarding the development of the drug to ensure that the development program to gather the nonclinical and clinical data necessary for approval is as efficient as practicable
taking steps to ensure that the design of the clinical trials is as efficient as practicable, when scientifically appropriate, such as by minimizing the number of patients exposed to a potentially less efficacious treatment
assigning a cross-disciplinary project lead for the FDA review team to facilitate an efficient review of the development program and to serve as a scientific liaison between the cross-discipline members of the review team (i.e., clinical, pharmacology-toxicology, chemistry, manufacturing and control, compliance) for coordinated internal interactions and communications with the sponsor through the review division’s Regulatory Health Project Manager
involving senior managers and experienced review staff, as appropriate, in a collaborative, cross-disciplinary review


If the Shoe fits...

attilathehunt

05/28/17 1:22 PM

#106413 RE: nidan7500 #106409

And Fadiran will help with the first 3 items:

holding meetings with the sponsor and the review team throughout the development of the drug

providing timely advice to, and interactive communication with, the sponsor regarding the development of the drug to ensure that the development program to gather the nonclinical and clinical data necessary for approval is as efficient as practicable

taking steps to ensure that the design of the clinical trials is as efficient as practicable, when scientifically appropriate, such as by minimizing the number of patients exposed to a potentially less efficacious treatment

tredenwater2

05/28/17 7:31 PM

#106421 RE: nidan7500 #106409

Thanks Nidan for posting that website. We definitely are IMO working that angle with the FDA behind the scenes! As far as I'm concerned EVERYTHING we have done to date has been a "rolling review" with the FDA.

Was the recent hired hand the biggest breadcrumb of all from Missling with respect to the "tip of the iceberg" comment? With two FDA ODD designations already, an extended open label adaptive PH 2a part b still running, two other PH 2/3's planned this year with the support of the organizations boards, multiple pre-clinical "ships" returning to port.......

It has BTD written all over it! Just have to see if Gottlieb is a man of his word.

Tred