Duke Margolis Center for Health Policy, Duke University, Washington, District of Columbia, USA.
Clin Pharmacol Ther. 2022 Jan;111(1):150-154. doi: 10.1002/cpt.2272. Epub 2021 Jul 2.
RWE has potential to provide efficient and relevant information on the effectiveness of medical products, complementing the data generated in clinical trials; however, how RWE can support regulatory decision-making is unclear, potentially limiting its use. The objective of this study was to identify and characterize instances where RWE was included in the evidence package to support the effectiveness of a medical product regulated by U.S. Food and Drug Administration. A retrospective landscape analysis was conducted to identify instances where RWE was submitted to support effectiveness through targeted review of white and gray literature and publicly available FDA reviews of medical products. Trained evaluators examined FDA reviews to determine if and how RWE contributed to regulatory decision-making regarding effectiveness. Evaluators identified 34 instances of RWE submitted between 1954 and 2020, where 26% of instances were for oncology, 18% for hematology, and 12% for neurology. Over 50% of the products were indicated for use in rare disease or pediatric populations. 82% of products where RWE was submitted received an orphan designation. RWE was included in the product label in 59% of instances. Stated reasons indicating why submitted RWE did not significantly contribute to regulatory decision-making included lack of pre-specification of study design and analysis as well as data reliability and relevancy concerns. While there is historical use of RWE to support medical product effectiveness for oncology and rare diseases, potential exists to leverage the strengths of RWE to support other therapeutic areas and capture outcomes that are most relevant to patients.
真实世界证据(RWE)有潜力提供关于医疗产品有效性的高效且相关信息,补充临床试验中产生的数据;然而,RWE 如何支持监管决策尚不清楚,这可能限制了其使用。本研究旨在确定和描述 RWE 被纳入证据包以支持美国食品和药物管理局监管的医疗产品有效性的实例。采用回顾性景观分析,通过对白色和灰色文献以及公开的 FDA 医疗产品审查进行有针对性的审查,确定了 RWE 被提交以支持有效性的实例。经过培训的评估人员检查了 FDA 审查,以确定 RWE 是否以及如何为有效性的监管决策做出贡献。评估人员确定了 1954 年至 2020 年期间提交的 34 个 RWE 实例,其中 26%的实例用于肿瘤学,18%用于血液学,12%用于神经病学。超过 50%的产品用于治疗罕见病或儿科人群。提交 RWE 的产品中,82%获得了孤儿药认定。在 59%的实例中,RWE 被纳入产品标签。表明提交的 RWE 没有对监管决策做出重大贡献的原因包括研究设计和分析缺乏预先规定以及数据可靠性和相关性问题。虽然历史上有使用 RWE 来支持肿瘤学和罕见病的医疗产品有效性,但有可能利用 RWE 的优势来支持其他治疗领域,并捕获对患者最相关的结果。