Extending the US Food and Drug Administration’s Postmarket Authorities

Author:

Fernandez Lynch Holly123,Sachs Rachel E.4,Lee Sejin1,Herder Matthew5,Ross Joseph S.6,Ramachandran Reshma6

Affiliation:

1. Department of Medical Ethics and Health Policy, Perelman School of Medicine, University of Pennsylvania, Philadelphia

2. Carey Law School, University of Pennsylvania, Philadelphia

3. Leonard Davis Institute, University of Pennsylvania, Philadelphia

4. Washington University in St Louis School of Law, St Louis, Missouri

5. Health Law Institute, Schulich School of Law, Dalhousie University, Halifax, Nova Scotia, Canada

6. Yale Collaboration for Regulatory Rigor, Integrity, and Transparency, Yale School of Medicine, New Haven, Connecticut

Abstract

ImportanceThe US Food and Drug Administration (FDA) has expansive regulatory flexibility regarding the quality and quantity of evidence it deems sufficient to approve new drugs, which has been increasingly used to grant approval based on less certain evidence of benefit. However, the FDA’s regulatory flexibility with respect to standards for approval has not been matched by sufficient stringency in its exercise of postmarket safeguards, including the FDA’s authority and willingness to require confirmation of benefit through postmarket efficacy studies or to withdraw approval when benefit is not confirmed.ObjectiveTo identify and evaluate opportunities for the FDA to extend its authority to require postmarket efficacy studies and use expedited withdrawal procedures for drugs approved despite substantial residual uncertainty outside the accelerated approval pathway.EvidenceThe FDA’s current approaches to regulatory flexibility with respect to standards for drug approval; examples of shortcomings in the postmarket period; existing statutes and regulations governing the scope of the FDA’s authority to impose and enforce postmarket study requirements; and recent legislative reform and agency action regarding the accelerated approval pathway.FindingsDrawing on the broad language of the federal Food, Drug, and Cosmetic Act, the FDA could independently extend its core accelerated approval authorities—required postmarket efficacy studies and expedited withdrawal procedures—to any drug approved with substantial residual uncertainty regarding benefit, such as those supported by a single pivotal trial. To avoid exacerbating existing problems that have become evident during the past 3 decades of experience using the accelerated approval pathway, however, the FDA must ensure that postmarket studies are well designed and completed quickly, while compelling expedited withdrawal when needed.Conclusions and RelevanceUnder current FDA approaches to drug approval, patients, clinicians, and payers may be left with little confidence about a drug’s benefit not only when it first enters the market but also for an extended period thereafter. If policy makers continue to favor earlier market access over evidentiary certainty, flexible approvals must be matched by more expansive use of postmarket safeguards, an approach possible within the FDA’s existing legal authorities.

Publisher

American Medical Association (AMA)

Subject

Public Health, Environmental and Occupational Health,Health Policy

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