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The FDA's Final Rule on Expedited Safety Reporting: Statistical Considerations
In March 2011, a Final Rule for expedited reporting of serious adverse events took effect in the United States for studies conducted under an Investigational New Drug (IND) application. In December 2012, the U.S. Food and Drug Administration (FDA) promulgated a final Guidance describing the operatio...
Autores principales: | , , , , , , , , |
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Formato: | Online Artículo Texto |
Lenguaje: | English |
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Taylor & Francis
2015
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Materias: | |
Acceso en línea: | https://www.ncbi.nlm.nih.gov/pmc/articles/PMC4606817/ https://www.ncbi.nlm.nih.gov/pubmed/26550466 http://dx.doi.org/10.1080/19466315.2015.1043395 |
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author | Wittes, Janet Crowe, Brenda Chuang-Stein, Christy Guettner, Achim Hall, David Jiang, Qi Odenheimer, Daniel Xia, H. Amy Kramer, Judith |
author_facet | Wittes, Janet Crowe, Brenda Chuang-Stein, Christy Guettner, Achim Hall, David Jiang, Qi Odenheimer, Daniel Xia, H. Amy Kramer, Judith |
author_sort | Wittes, Janet |
collection | PubMed |
description | In March 2011, a Final Rule for expedited reporting of serious adverse events took effect in the United States for studies conducted under an Investigational New Drug (IND) application. In December 2012, the U.S. Food and Drug Administration (FDA) promulgated a final Guidance describing the operationalization of this Final Rule. The Rule and Guidance clarified that a clinical trial sponsor should have evidence suggesting causality before defining an unexpected serious adverse event as a suspected adverse reaction that would require expedited reporting to the FDA. The Rule's emphasis on the need for evidence suggestive of a causal relation should lead to fewer events being reported but, among those reported, a higher percentage actually being caused by the product being tested. This article reviews the practices that were common before the Final Rule was issued and the approach the New Rule specifies. It then discusses methods for operationalizing the Final Rule with particular focus on relevant statistical considerations. It concludes with a set of recommendations addressed to Sponsors and to the FDA in implementing the Final Rule. |
format | Online Article Text |
id | pubmed-4606817 |
institution | National Center for Biotechnology Information |
language | English |
publishDate | 2015 |
publisher | Taylor & Francis |
record_format | MEDLINE/PubMed |
spelling | pubmed-46068172015-11-05 The FDA's Final Rule on Expedited Safety Reporting: Statistical Considerations Wittes, Janet Crowe, Brenda Chuang-Stein, Christy Guettner, Achim Hall, David Jiang, Qi Odenheimer, Daniel Xia, H. Amy Kramer, Judith Stat Biopharm Res Original Articles In March 2011, a Final Rule for expedited reporting of serious adverse events took effect in the United States for studies conducted under an Investigational New Drug (IND) application. In December 2012, the U.S. Food and Drug Administration (FDA) promulgated a final Guidance describing the operationalization of this Final Rule. The Rule and Guidance clarified that a clinical trial sponsor should have evidence suggesting causality before defining an unexpected serious adverse event as a suspected adverse reaction that would require expedited reporting to the FDA. The Rule's emphasis on the need for evidence suggestive of a causal relation should lead to fewer events being reported but, among those reported, a higher percentage actually being caused by the product being tested. This article reviews the practices that were common before the Final Rule was issued and the approach the New Rule specifies. It then discusses methods for operationalizing the Final Rule with particular focus on relevant statistical considerations. It concludes with a set of recommendations addressed to Sponsors and to the FDA in implementing the Final Rule. Taylor & Francis 2015-07-03 2015-10-09 /pmc/articles/PMC4606817/ /pubmed/26550466 http://dx.doi.org/10.1080/19466315.2015.1043395 Text en © 2015 J. Wittes, B. Crowe, C. Chuang-Stein, A. Guettner, D. Hall, Q. Jiang, D. Odenheimer, H. Amy Xia, J. Kramer. Published with license by Taylor & Francis This is an Open Access article. Non-commercial re-use, distribution, and reproduction in any medium, provided the original work is properly attributed, cited, and is not altered, transformed, or built upon in any way, is permitted. The moral rights of the named author(s) have been asserted. |
spellingShingle | Original Articles Wittes, Janet Crowe, Brenda Chuang-Stein, Christy Guettner, Achim Hall, David Jiang, Qi Odenheimer, Daniel Xia, H. Amy Kramer, Judith The FDA's Final Rule on Expedited Safety Reporting: Statistical Considerations |
title | The FDA's Final Rule on Expedited Safety Reporting: Statistical Considerations |
title_full | The FDA's Final Rule on Expedited Safety Reporting: Statistical Considerations |
title_fullStr | The FDA's Final Rule on Expedited Safety Reporting: Statistical Considerations |
title_full_unstemmed | The FDA's Final Rule on Expedited Safety Reporting: Statistical Considerations |
title_short | The FDA's Final Rule on Expedited Safety Reporting: Statistical Considerations |
title_sort | fda's final rule on expedited safety reporting: statistical considerations |
topic | Original Articles |
url | https://www.ncbi.nlm.nih.gov/pmc/articles/PMC4606817/ https://www.ncbi.nlm.nih.gov/pubmed/26550466 http://dx.doi.org/10.1080/19466315.2015.1043395 |
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