Recognizing this situation, governments around the world have established special regulations that allow patients with unmet medical needs—who have exhausted all available treatment options—to obtain drugs prior to their market launch.
Pharmaceutical companies wishing to expand access to investigational drugs need to be aware of the regulatory guidelines that govern these programs and their promotion—or face stiff penalties and fines. This article provides an overview and offers vital information on the regulatory "do's and don'ts" of expanded access programs.
Expanded access programs operate under stringent regulations that include guidance on who can request a drug, the process by which the drug is accessed, and the type of data that must be collected from participating patients. In the United States, these programs are defined and enforced by FDA. For patients outside the US, the programs are commonly referred to as named patient programs, and the rules are established and governed by local health and regulatory authorities.
Expanded Access Programs There are several types of FDA-sanctioned EAPs, including treatment protocols, treatment INDs, and single-patient INDs—all of which provide patients who would not otherwise qualify for clinical trials access to investigational drugs. FDA allows all US-based expanded access programs to collect safety and efficacy information.
To create a treatment protocol, a drug company must submit a formal addendum to FDA for an active clinical trial. In that addendum, the company defines the criteria for patient access to the investigational treatment. Then physicians contact the sponsoring company to request that their patient be included in the treatment protocol.
By contrast, in both treatment INDs and single-patient INDs, physicians drive the request to FDA to allow individual patients access to investigational drugs on an emergency or compassionate basis. They do this by submitting to FDA an application that includes scientific evidence supporting the use of the drug in the particular indication, as well as assurances that all informed consent requirements have been met, that the relevant institutional review board (IRB) has approved the request, and that the company agrees to release the drug. FDA may deny the request based on concerns for the safety of the patient.
The pharmaceutical company must agree to the request; FDA does not have the power to compel a company to release a drug for an unapproved use.
Named Patient Programs Named patient programs (NPPs) are similar to US-based EAPs, but with an international component—named patient programs enable physicians and patients to access medicines approved in other countries before marketing approval has been granted in their home country. Many companies typically establish named patient programs to allow patients in clinical trials to continue to access a drug after the trial ends, but prior to marketing authorization.
To gain access to this program, foreign physicians or pharmacists contact the company, or their NPP provider, on behalf of individual or "named" patients. If the patient meets the treatment criteria and all export and import requirements have been met, the drug is shipped to the patient's pharmacist and dispensed to the patient.